Louisiana Ethics Administration Program
Home
Charges Search
EAB Decisions Search
My WebLink
|
Help
|
About
|
Sign Out
Home
Browse
Search
2025-259
LAEthics
>
Opinions
>
SearchableOpinions
>
2025
>
2025-259
Metadata
Thumbnails
New Search
Entry Properties
Last modified
8/25/2025 5:54:42 PM
Creation date
7/7/2025 9:16:56 AM
Metadata
2025-259
Fields
Template:
Opinion Item
Opinion Type
Advisory Opinion
Docket Number
2025-259
Requesting Party
John S. Cook
Parties Involved
Kone Ice of Acadiana
Jevon Dehart
Vermilion Charter Foundation, Inc.
Agency at Issue
Vermilion Charter Academy
Decision Date
7/3/2025
Law
La. R.S. 17:3996B(20)
La. R.S. 42:1113B
Caption
The Code of Governmental Ethics prohibits Kona Ice of Acadiana, a company owned by Jevon Dehart, a member of the Vermilion Charter Foundation Board of Trustees, from entering into any agreement with Vermilion Charter Academy to sell snow cones on its campus, but does not prohibit Kona Ice of Acadiana from donating snow cones to Vermilion Charter Academy.
Ethics Subject Matters
Prohibited Transactions
Prohibited Contracts
There are no annotations on this page.
Document management portal powered by Laserfiche WebLink 9 © 1998-2015
Laserfiche.
All rights reserved.
/
2
PDF
Print
Pages to print
Enter page numbers and/or page ranges separated by commas. For example, 1,3,5-12.
After downloading, print the document using a PDF reader (e.g. Adobe Reader).
View images
View plain text
La. R.S. 42:1113B prohibits an appointed member of any board or commission, member of his <br /> immediate family, or a legal entity in which he has a substantial economic interest, from bidding <br /> on or entering into any contract, subcontract, or other transaction which is under the supervision <br /> or jurisdiction of the agency of such appointed member. <br /> La. R.S. 42:1102(2)(a) defines "agency" to mean a departinent, office, division, agency, <br /> commission, board, committee, or other organizational unit of a governmental entity. <br /> La. R.S. 42:1102(21) defines "substantial economic interest" as an economic interest which is of <br /> greater benefit to the public servant or other person than to a general class or group of persons, <br /> except: (a) the interest that the public servant has in his position, office, rank, salary, per diein, or <br /> other matter arising solely from his public employment or office; (b) the interest that an elected <br /> official who is elected to a house,body,or authority has in a position or office of such house,body, <br /> or authority which is required to be filled by a member of such house, body, or authority by law, <br /> legislative rule, or home rule charter, (c) the interest that a person has as a member of the general <br /> public. <br /> ANALYSIS AND CONCLUSION <br /> Pursuant to La. R.S. 17:3999B(20), Jevon Dehart is subject to the Code of Gover�unental Ethics. <br /> His agency, for purposes of the Code, is VCF pursua.nt to La. R.S. 42:1102(2)(a). Jevon Dehart <br /> has a substantial economic interest in Kona Ice of Acadiana pursuant to La. R.S. 42:1102(21). <br /> La. R.S. 42:1113B prohibits Jevon Dehart or a legal entity in which he has a substantial economic <br /> interest from bidding on or entering into any contract, subcontract, or other transaction which is <br /> under the supervision or jurisdiction of his agency, VCF. Therefore, the Board concluded, and <br /> instructed me to inform you, that the Code prohibits Kona Ice of Acadiana from entering into any <br /> agreement with the Vermilion Chai-ter Academy to sell snow cones on its campus,even if a portion <br /> of the proceeds will be donated back to the school and there is no other snow cone business that <br /> offers comparable services in the area. However, Kona Ice of Acadiana is not prohibited from <br /> donating snow cones to the Vermilion Charter Academy. <br /> This advisory opinion is based solely on the facts as set forth herein. Changes to the facts as <br /> presented inay result in a different application of the provisions of the Louisiana Code of <br /> Governmental Ethics. The Board issues no opinion as to past conduct or to laws other than the <br /> Code of Governmental Ethics, the Campaign Finance Disclosure Act, the Lobbyist Disclosure <br /> Acts, and the conflict of interest provisions contained in the Louisiana Gaming Control Law. <br /> If you have any questions, please contact me at (800) 842-6630 or(225) 219-5600. <br /> Sincerely, <br /> LOUISIANA BOARD OF ETHICS <br /> essica T. Meiners <br /> For the Board <br /> q'��4=?� % C:1`�� (g�:�) �f���i_i�aj} <br />
The URL can be used to link to this page
Your browser does not support the video tag.