When a request is made to inspect or copy a public record that contains information that is exempt from disclosure, but also contains information that is not exempt from disclosure, the public body may choose to redact the information that is exempt. But it must make the remaining information (which does not specifically qualify for an exemption) available for inspection and copying. See 5 ILCS 140/7(1); Carter v. Meek, 322 Ill. App. 3d 266, 750 N.E. 2d 242, 255 Ill. Dec. 661.