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CONCLUSION <br /> The Board concluded,and instructed me to inform you,that as Vice Chancellor,Mr. Reynolds was <br /> the agency head for LSUHSC-S also as a member of the Board Mr. Reynolds served as an agency <br /> head over OLHS-NL. Mr. Reynold's employment with Ochsner Clinic Foundation is not <br /> prohibited by Section 1121A(1)since he is not assisting Ochsner Clinic Foundation in transactions <br /> involving his former agency, the LSUHSC-S Office of Administration & Finance or OLHS-NL, <br /> and he is not rendering any services back to the LSUHSC-S Office of Administration & Finance <br /> or OLHS-NL. <br /> The Board further concluded, and instructed me to inform you, that Section 1121B(1) would not <br /> prohibit Mr. Reynolds's employment with Ochsner Clinic Foundation,since he is not participating <br /> in any transactions in which he participated while employed by LSUHSC-S,and he is not rendering <br /> the same services back to the LSUHSC-S. <br /> This advisory opinion is based solely on the facts as set forth herein. Changes to the facts as <br /> presented may result in a different application of the provisions of the Code of Governmental <br /> Ethics. Please note that the Board issues no opinion as to past conduct and that the Board's <br /> expressed opinion is limited to an examination of the Code of Governmental Ethics,the Campaign <br /> Finance Disclosure Act,the Lobbyist Disclosure Acts,and the conflict of interest provisions in the <br /> gaming laws. <br /> If you have any questions,please contact me at(225) 219-5600 or(800) 842-6630. <br /> Sincerely, <br /> LOUISI NA RD OF ETHICS <br /> Suzanne Quinlan Mooney <br /> For the Board <br /> enclosure <br />