Louisiana Ethics Administration Program
Home
Charges Search
EAB Decisions Search
My WebLink
|
Help
|
About
|
Sign Out
Home
Browse
Search
2020-208
LAEthics
>
Opinions
>
SearchableOpinions
>
2020
>
2020-208
Metadata
Thumbnails
New Search
Entry Properties
Last modified
7/12/2021 9:52:53 AM
Creation date
10/29/2020 9:46:46 AM
Metadata
2020-208
Fields
Template:
Opinion Item
Opinion Type
Advisory Opinion
Docket Number
2020-208
Requesting Party
Commissioner Roy Burrell
Decision Date
7/2/2020
Law
La. R.S. 42:1111C(2)(d)
La. R.S. 1111E(1)
La. R.S. 42:1112
Caption
Advisory Opinion whereby the Code of Governmental Ethics would prohibit a member of the Caddo Parish Commission from being the Managing Director of the Inner City Entrepreneur Institute since it seeks funding from a grant provided by the Caddo Parish Commission.
Ethics Subject Matters
Participation
Prohibited Contracts
Prohibited Transactions
There are no annotations on this page.
Document management portal powered by Laserfiche WebLink 9 © 1998-2015
Laserfiche.
All rights reserved.
/
4
PDF
Print
Pages to print
Enter page numbers and/or page ranges separated by commas. For example, 1,3,5-12.
After downloading, print the document using a PDF reader (e.g. Adobe Reader).
View images
View plain text
employee of such person,if such public servant knows or reasonably should know that such <br /> person has or is seeking to obtain contractual or other business or financial relationships with <br /> the public servant's agency; conducts operations or activities which are regulated by the <br /> public employee's agency; or has substantial economic interests which may be substantially <br /> affected by the performance or nonperformance of the public employee's official duty. <br /> La. R.S. 42:1111(E)(1) provides that no public servant, and no legal entity of which such <br /> public servant is an officer, director, trustee, partner, or employee, or in which such public <br /> servant has a substantial economic interest, shall receive or agree to receive any thing of <br /> economic value for assisting a person in a transaction,or in an appearance in connection with <br /> a transaction,with the agency of such public servant <br /> La. R.S. 42:1112(A) states that no public servant, except as provided in R.S. 42:1120, shall <br /> participate in a transaction in which he has a personal substantial economic interest of which <br /> he may be reasonably expected to know involving the governmental entity. <br /> La. R.S. 42:1112(6)(3) prohibits a public servant from participating in a governmental <br /> transaction in which any person of which he is an officer, director, trustee, partner, or <br /> employee has a substantial economic interest <br /> La.R.S.42:1120 provides that if an elected official,in the discharge of a duty or responsibility <br /> of his office or position,would be required to vote on a matter which would be a violation of <br /> RS.42:1112,he shall recuse himself from voting.An elected official who recuses himself from <br /> voting pursuant to this Section shall not be prohibited from participating in discussion and <br /> debate concerning the matter, provided that he makes the disclosure of his conflict or <br /> potential conflict a part of the record of his agency prior to his participation in the discussion <br /> and debate and prior to the vote that is the subject of discussion or debate. <br /> CONCLUSION <br /> The Board concluded,and instructed me to inform you,that based on the facts presented,the <br /> following are the answers to the questions posed: <br /> A. As an independent contractor managing the ICE Institute's <br /> annual "Plan of Action," I am requested by the ICE Board of <br /> Directors to submit a grant funding request to be considered <br /> in the annual Parish's Omnibus budget which is collectively <br /> voted on by all Commissioners. Will recusing myself from <br /> voting on the budget still create a conflict? <br /> Yes. Even if you recused yourself from voting as a Caddo Parish Commissioner,in accordance <br /> with La. R.S. 42:1120, your continued operation as the ICE Institute's managing director <br /> would be prohibited by La.RS.42:1111(C)(2)(d) and La. R.S.42:1111(E). <br /> B. Although the independent ICE Board of Director's requests <br /> Parish grant funding,it raises separate private funding to pay <br /> for my contractual services. The CPC requests a bi-annual <br /> Page 2 of 4 <br /> Docket No.2020-208 <br />
The URL can be used to link to this page
Your browser does not support the video tag.