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LD-203: What Lobbyists Must Report

LD-203: What Lobbyists Must Report. Mandatory Semi-Annual Reports. All registered lobbyists must file That filing must be done electronically Each lobbyist needs electronic ID from House/Senate (go to www.disclosure.senate.gov ) – Don’t wait until 7/31! Must use form LD-203

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LD-203: What Lobbyists Must Report

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  1. LD-203: What Lobbyists Must Report

  2. Mandatory Semi-Annual Reports • All registered lobbyists must file • That filing must be done electronically • Each lobbyist needs electronic ID from House/Senate (go to www.disclosure.senate.gov) – Don’t wait until 7/31! • Must use form LD-203 • Failure to report – or failure to correct a defective filing – can result in civil fine up to $200,000 • Knowingly failing to comply with requirements can result in a criminal fine and/or up to 5 years imprisonment

  3. LD-203 covers last 6 months and requires: • Lobbyist’s name & employer • List of all political committees established/controlled by lobbyist • Firm PAC board members should list the firm PAC • All federal campaign contributions of $200 or more (includes candidate committees, leadership PACs, and party committees) • Date • Recipient • Amount

  4. LD-203 Contents Continued: • In addition, lobbyists must disclose the date, recipient and amount contributed to: • Any event honoring/recognizing Congressional or executive branch official, e.g. USCHS dinners for committee members; award dinners • Even non-federal fundraisers may fit within definition (e.g., J-J Dinner With Special Guest Sen. Barack Obama) • Any entity named for Congressional or executive branch official, e.g. Nancy Pelosi Institute of Politics • Any entity established/financed/maintained/controlled/designated by Congressional or executive branch official, e.g., contribution to CBC Foundation; favorite charity of Member in lieu of honorarium • Pay costs of meeting/event held by/in name of Congressional or executive branch official, e.g., Tip O’Neill Annual Charity Golf Tournament; dinner program lists “honored” Congressional guests

  5. LD-203 Contents Continued: • Date and amount of any contribution of $200 or more to presidential inaugural committee or presidential library foundation • AND a certification that lobbyist – “has read and is familiar with” House and Senate travel/gift rules and “has not provided, requested, or directed a gift, including travel, to a Member of Congress or an officer or employee of either House of Congress with knowledge that receipt would violate” those rules

  6. Examples • Example 1: In State A, a group of constituents involved in widget manufacturing decide to honor Senator “S” and Representative “R” with “Widget Manufacturing Legislative Leaders of 2008” plaques. Registrant “L” knows that “S” has checked with the Senate Select Committee on Ethics regarding her ability to accept the award and attend the coffee, and “R” has checked with the House Committee on Standards of Official Conduct. “L” pays caterer “Z” $500 and Hotel “H” $200 to partially fund the event. “L” would report that it paid $500 to “Z” and $200 to “H” on November 20, 2008, for the purpose of an event to honor or recognize “S” and “R” with the plaques.

  7. Examples • Example 2: Senator “S” and Representative “R” are honorary co-hosts of an event sponsored by Registrant “L” to promote “Widget Awareness.” “R” would disclose the date, amount, recipient(s) of funds and “S” and “R” because “S” and “R” are being honored and or recognized. • Example 3: Registrant “L” sponsors an event. Senator “S” is listed on the invitation as an attendee. Representative “R” is listed on the invitation as a speaker. “L” would disclose the date, amount, recipient(s) of funds and “S” and “R” as being recognized.

  8. Examples • Example 4: After checking whether the activity is permissible, Lobbyist “L” contributes $300 on June 1, 2008, to Any State University toward the endowment of a chair named for Senator “S.” “L” would report the information above noting that the payment was made to Any State University for the endowment of “S’s” chair. • Example 5: Senator “S” has been asked to speak at a conference held in Washington, D.C., sponsored by a professional association of which Registrant “L” is a member. “L” donates $100 to Charity “X” in lieu of honoraria. “L” would disclose a contribution of $100 on July 15, 2008, with the notation that “S” was the speaker and the contribution was made in lieu of honoraria.

  9. Examples • Example 6: In State “A,” three 501c(3) organizations sponsor a large regional conference on “Saving Our River.” Senator “S” and Representatives “H” and “R” are invited to appear as honored guests. Registrant “L” contributes $3,000 to the event, paying one of the sponsors. “L” would disclose a payment of $3,000 on August 1, 2008, payable to the sponsor with the notation that “S,” “H” and “R” are honored guests. • Example 7: Registrant “O” is a large organization with 50 state offices in which its employees are assigned to handle state and local government affairs issues. A separate local organization hosts an event that honors primarily local officials, but also includes Representative “R” as an honoree. “O” pays for its employees’ lunches at the honoring event. Accordingly, “O” would report that it paid the local organization $200 for lunch to honor “R.”

  10. Examples • Example 8: Lobbyists “K” and “L” serve on the board of an unaffiliated PAC as member and treasurer, respectively. As board members, they are in positions that control the direction of the PAC’s contributions. Since both are controlling to whom the PAC’s contributions are given, they must disclose applicable contributions and payments on their semi-annual reports.

  11. Certification • Covers all Congressional gift/travel rules • Underscores the need to: • Ask for ethics advice on gift/travel questions • Check for new interpretations/rulings • Report any after-the-fact issues as well • Keep good records

  12. LD-203 Enforcement • For the first time, DOJ is responsible for civil/criminal enforcement • GAO can audit lobbying firms • House/Senate can refer compliance matters to DOJ • Congressional guidance: this section “written broadly” • E.g., Compare LDA and FEC reporting

  13. Simple Rules for Effective LDA Compliance • Keep good, up-to-date records • External/internal audits • Ask questions/consult K&L Gates ethics counsel • Recognize that: • Interpretations can change • Circumstances do change

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