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La. R.S. 42:1102(2)(a) "Agency" means a department, office, division, agency, commission, <br /> board, committee, or other organizational unit of a governmental entity... <br /> La.R.S.42:1102(18)(a)defines"public employee"to mean anyone,whether compensated or not, <br /> who is: <br /> (i) An administrative officer or official of a governmental entity who is not filling an elective <br /> office. <br /> (ii)Appointed by any elected official when acting in an official capacity, and the appointment <br /> is to a post or position wherein the appointee is to serve the governmental entity or an agency <br /> thereof, either as a member of an agency, or as an employee thereof. <br /> (iii) Engaged in the performance of a governmental function. <br /> (iv) Under the supervision or authority of an elected official or another employee of the <br /> governmental entity. <br /> La.R.S. 42:1102(19) defines "public servant" means a public employee or an elected official. <br /> La. R.S. 42:1102(22)(a) defines"thing of economic value" as money or any other thing having <br /> economic value except promotional items having no substantial resale value. <br /> ANALYSIS AND CONCLUSION <br /> You and all other employees of CPRA are public employees pursuant to La. R.S. 42:1102(18) and <br /> public servants pursuant to La. R.S. 42:1102(19). Each employee's agency is the department, <br /> office,division, agency, commission,board, committee,or other organizational unit within CPRA <br /> in which they are employed. <br /> The Board concluded, and instructed me to inform you that, the Code does not prohibit CPRA <br /> employees from accepting any type of door prize awarded via a random drawing at a Conference, <br /> provided that the person donating the prize is not a prohibited source pursuant to La. R.S. <br /> 42:1115. Additionally, CPRA employees are not prohibited from accepting promotional items <br /> such as cups, pens, and other items of no substantial resale value, even if the items were donated <br /> by prohibited sources,pursuant to La. R.S. 42:1102(22)(a). <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. The Board issues no opinion as to past conduct and or to laws other than the Code of <br /> Governmental Ethics, the Campaign Finance Disclosure Act, the Lobbyist Disclosure Acts, and <br /> the conflict of interest provisions contained in the Louisiana Gaming Control Law. <br /> Page 2 of 3 (BD 2025-464) <br />