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seeking to obtain contractual or other business or financial relationships with the Fire District. <br /> Therefore, La. R.S. 42:1117 prohibits BFA from paying Mr. Hayden any thing of economic value <br /> for services Mr. Hayden renders to BFA. <br /> CONCLUSION <br /> The Board concluded and instructed me to inform you that t11e Code of Governmental Ethics does <br /> not prohibit BFA from bidding on, entering into, or having a substantial economic interest in aizy <br /> contract, subcontract, or other transaction that is under the supervision or jurisdiction of tl�e Fire <br /> District; however, BFA is prohibited from paying Mr. Hayden compensation for services he <br /> renders to BFA while Mr. Hayden serves on the Board of the Fire District and BFA is seeking to <br /> or has a contractual, financial or business relationship with the Fire District. <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 provisioiis of the Louisiana Code of <br /> Governmental Ethics. The Board issues no opinion as to past conduct or as to laws other than the <br /> Louisiana Code of Governmental Ethics, the Casnpaign Finance Disclosure Act, the Lobbyist <br /> Disclosure Act; and the conflict of interest provisions contained in the Louisiana Gaming Control <br /> Law. If you have any questions, please contact me at(800) 842-6630 or(225) 219-5600. <br /> Sincerely, <br /> LOU TANA BOARD OF ETHICS <br /> { ���� <br /> racy M. er <br /> For the B ard <br /> Page 3 of 3 (BD 2025-164) <br />