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subcontract or other transaction that is under the supervision or jurisdiction of the agency of such <br /> public servant. <br /> La.R.S.42:1102(2)(a)(vi)defines"agency"to mean,for public servants of political subdivisions, <br /> it shall mean the agency in which the public servant serves, except that for members of any <br /> governing authority and for the elected or appointed chief executive of a governmental entity, it <br /> shall mean the governmental entity.Public servants of political subdivisions shall include,but shall <br /> not be limited to, elected officials and public employees of municipalities, parishes, and other <br /> political subdivisions; sheriffs and their employees; district attorneys and their employees; <br /> coroners and their employees; and clerks of court and their employees. <br /> La. R.S. 42:1102(18)(a) defines"public employee"to mean any person,whether compensated or <br /> not who is: (i) an administrative officer or official of a governmental entity who is not filling an <br /> elective office; (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 or <br /> an agency thereof, either as a member of an agency, or as an employee thereof; (iii) engaged in the <br /> performance of a governmental function; (iv)under the supervision or authority of an elected <br /> official or another employee of the governmental entity. <br /> La. R.S. 42:1102(19) defines "public servant"to mean a public employee or elected official. <br /> ANALYSIS <br /> Employees of the GPD are public employees pursuant to La. R.S. 42:1102(18)(x) and public <br /> servants pursuant to La. R.S. 42:1102(19). Their agency is the GPD, pursuant to La. R.S. <br /> 42:1102(2)(a)(vi). <br /> La. R.S. 42:1113A prohibits public servants from entering into transactions with their agency. As <br /> the Chief of Police of GPD is an elected position, the agency of GPD employees is the GPD, not <br /> the Town. Accordingly, any use of the Town facilities by GPD employees does not represent a <br /> transaction with their agency. <br /> La. R.S. 42:1111A prohibits public servants from receiving compensation or benefits to which <br /> they are not duly entitled as a result of their public employment. The Board does not have <br /> jurisdiction over whether the Proposed Ordinance is a legal use of public funds. Such <br /> determination would be properly addressed to the Louisiana Attorney General's Office. To the <br /> extent the Proposed Ordinance is permissible to Town employees under the applicable state laws, <br /> and the benefit of the Proposed Ordinance is extended to GPD employees, then GPD employees <br /> would be duly entitled to such benefit, and there would be no violation of La. R.S. 42:1111 A. <br /> CONCLUSION <br /> The Board concluded, and instructed me to inform you, that the Code prohibits GPD employees <br /> to utilize facilities of the Town.Further,to the extent that the Proposed Ordinance does not violate <br /> applicable state laws relating to use of public property, then GPD employees are permitted to <br /> accept such benefit from the Town. <br /> Changes to the facts as presented may result in a different application of the provisions of the <br /> Louisiana Code of Governmental Ethics. The Board issues no opinion as to past conduct or as to <br /> laws other than the Louisiana Code of Governmental Ethics, the Campaign Finance Disclosure <br /> Page 2 of 3 (BD 2024-590) <br />