Imre, While good ideas... The docs have to be sent proactively and must be sent specifically for each proof. Regulatory requires a date/version be on the checklist, so the current revision of the checklist is very important for audits against compliance. Sure, it stays the same for months at a time, but we need to know with 100% certainty which version of the checklist they had at the time they were reviewing the proof. Since I also manage documentation for the group, Regulatory was very, VERY specific about how I track versions of this checklist. Apparently this is some sort of big deal with either Federal or State agencies in a chain of accountability. So we can't be passive and hope the reviewers pick it up; we must know with certainty they received it as part of our end of due diligence. Kevin Quosig