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La. R.S. 42:1102(8) defines "controlling interest" to mean any ownership in any legal entity or <br /> beneficial interest in a trust, held by or on behalf of an individual or a member of his immediate <br /> family, either individually or collectively, which exceeds twenty-five percent of that legal entity. <br /> La.R.S.42:1102(13) defines"immediate family"as the term relates to a public servant to include <br /> his spouse. <br /> La.R.S. 42:1102 (18)(a) defines"public employee" to mean anyone, whether compensated or <br /> not, 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 <br /> appointment is to a post or position wherein the appointee is to serve the governmental entity <br /> or an agency 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 /> ANALYSIS <br /> As a West Feliciana Parish School Board employee, your wife is a public servant pursuant to La. <br /> R.S. 42:1102(18) & La. R.S. 42:1102(19). For purposes of the Code, your wife's agency is the <br /> Sales Tax Office of the West Feliciana Parish School Board pursuant to La. R.S. 42:1102(2)(a). <br /> As her husband, you are a member of her immediate family pursuant to La. R.S. 42:1102(13). <br /> La. R.S. 42:.1113A(1)(a) prohibits you, and any legal entity in which you own more than 25%, <br /> from bidding on or entering into any contract, subcontract, or other transaction that is under the <br /> supervision or jurisdiction of your wife's agency,the Sales Tax Office of the West Feliciana Parish <br /> School Board. However, the 403(b) retirement plan vendors are under the supervision of the <br /> School Board's Human Resources Department,not the Sales Tax Office. Therefore,you and your <br /> company are not prohibited from being a 403(b) retirement plan vendor for the West Feliciana <br /> Parish School Board while your wife is a School Board employee in the Sales Tax Office. <br /> CONCLUSION <br /> The Louisiana Board of Ethics concluded and instructed me to inform you that the Code of <br /> Governmental Ethics does not prohibit you or your company, Young Investment Group, L.L.C., <br /> from being a 403(b)retirement plan vendor for the West Feliciana Parish School Board while your <br /> wife is employed in the School Board's Sales Tax Office. <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 or as 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 2024-106) <br />