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nonperformance of the public employee's official duty. <br /> ANALYSIS <br /> La. R.S. 42:1111(C)(2)(d)prohibits a public servant from receiving a thing of economic value for services <br /> rendered to a person regulated by the public servant's agency. Should your campaign for BESE be <br /> successful,you continued employment at a Type 1 charter school would not be a violation of the Code. A <br /> Type 1 charter school is regulated by the local school board—here,Lafourche Parish School Board. Given <br /> that the Type 1 charter school would not be regulated by your then-agency — BESE, La. R.S. <br /> 42:1111(C)(2)(d)would not prohibit your continued employment. <br /> CONCLUSION <br /> The Board concluded, and instructed me to inform you, that based on the facts presented, the Code would <br /> not prohibit you from serving on BESE while being employed by a Type 1 charter school. <br /> This advisory opinion is based solely on the facts as set forth herein. Changes to the facts as presented may <br /> result in a different application of the provisions of the Louisiana Code of Governmental Ethics. The Board <br /> issues no opinion as to past conduct or as to laws other than the Louisiana Code of Governmental Ethics, <br /> the Campaign Finance Disclosure Act, the Lobbyist Disclosure Act, and the conflict of interest provisions <br /> contained in the Louisiana Gaming Control Law. If you have any questions, please contact me at (800) <br /> 842-6630 or(225)219-5600. <br /> Sincerely, <br /> Z <br /> ANA BOARD OF ETHICS <br /> .Jor an <br /> For the and <br /> Page 2 of 2 <br /> Docket No.2022-806 <br />