ethics law and open government_bill dugat
TRANSCRIPT
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© 2016 BICKERSTAFF HEATH DELGADO ACOSTA LLP
Ethics Law and Open Government
Bill Dugat 512-472-8021
[email protected] 3711 S. MoPac Expwy.
Bldg. 1, Suite 300 Austin, TX 78746
www.bickerstaff.com
Texas Alliance of Groundwater Districts Leadership Training
Austin, TX October 27, 2016
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• Conflict of interest laws affecting Directors
Ø Chapter 171 Local Government Code
Ø Chapter 176 Local Government Code
• Selected open meetings issues
Ø Walking Quorum
Ø Closed meeting/executive sessions
Overview
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• Prohibits a Director from:
Ø Voting or participating
Ø On a matter where the Director has a “substantial interest”
§ Business entity
§ Real property
Ø Resulting in a special economic effect
• “Substantial interest” Director or family member:
Ø Business entity – owns:
§ 10% or more ownership in voting stock
§ 10% or more or $15,000 or more of FMV
Ø Real Property
§ Interest with FMV $2,500 or more
Chapter 171
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• Business Entity means: Ø Solo proprietorship, partnership, corporation,
holding company, joint stock company, trust, and any other entity recognized by law
Ø Does not include a public entity • Special economic effect undefined
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Three questions: 1. Is there a vote or decision before a Board
involving a “business entity” or “real property?”
2. Does a director have a “substantial interest?” 3. If so, will Board action have a special
economic effect on the business entity or real property?
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Yes –
• Before a vote or decision, file affidavit with record keeper
• Must abstain from further participation
• Violation is Class A Misdemeanor
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Requires a director to file a statement disclosing relationships with vendors conducting business with the District.
Chapter 176
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Director must file a statement with district record administrator if:
• Director or family member has an employment or business relationship
• With a vendor of the District and • Receiving > $2500 in preceding 12 months or • Receives gifts > $100 preceding 12 months
(does not include food accepted as a guest)
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E-mail Exchange and Walking Quorum • Crime to knowingly conspire to circumvent requirements of
TOMA by meeting in numbers less than a quorum for purposes of secret deliberation
• Walking quorum: sequential conferencing in numbers less than a quorum is prohibited
• TOMA applies to “verbal exchange” of a “Quorum” • AG OP GA-0896 (2011):
Ø Words need not be spoken in person Ø Need not be physically present Ø Text message, e-mails, and telephone may constitute
deliberations • Violations could occur if using devices during a formal
meeting.
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• Meeting cannot begin until quorum present -- must begin in open session pursuant to proper agenda posting
• Final action/decision can occur only in open session held in compliance with TOMA.
• Secret ballots or unanimous written consent prohibited -- ACTUAL VOTE AT MEETING BY MEMBERS OF BODY REQUIRED
• REQUIRED RECORD OF OPEN SESSION = minutes or tape recording (public records); minutes must be permanently preserved
TEX. GOV’T CODE §§551.021-.023, 551.101-.102
TOMA Meeting Requirements -- Open Session Rules
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Meeting Requirements -- Closed Session Rules
• Move to closed session through pronouncement of TOMA statute/authorized topic to support closed session
• TOMA does not prohibit opinions being expressed in closed session -- but decision must occur in open session
• REQUIRED RECORD = (1) certified agenda (describes subject matter, action taken, and announcement by presiding officer of date/time and beginning/end of session); or (2) tape recording;
• Record must be (1) preserved at least 2 years -- and to completion of any suit filed regarding meeting, and (2) is EXPRESSLY CONFIDENTIAL
TEX. GOV’T CODE §§551.071-.074, 551.087, 551.101-.104, 551.129
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Meeting Requirements -- Closed Session Rules
• No person may be admitted whose interest is adverse to government -- exclusion extends to opposing suit parties and proposed seller of property to government
TEX. GOV’T CODE §§551.071-.074, 551.087, 551.101-.104, 551.129
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Meeting Requirements -- Closed Session Rules
• Many authorized topics exist under TOMA -- including: (1) personnel matters; (2) consultation with attorney; (3) deliberation regarding real property; (4) gifts and donations; (5) economic development negotiations.
TEX. GOV’T CODE §§551.071-.074, 551.087, 551.101-.104, 551.129
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• Member of body commits offense if he knowingly conspires to circumvent TOMA by meeting in numbers less than quorum for secret deliberations in violation of TOMA;
• Member of body commits offense if closed meeting is not permitted under TOMA,
and he knowingly: (1) calls/aids in calling or organizing closed meeting, whether special or called
meeting; (2) closes or aids in closing meeting if a regular meeting; or (3) participates in closed meeting, whether regular, special, or called meeting;
• PUNISHMENT = fine of not less than $100 or more than $500, jail confinement for not less than one month or more than six months, or both such fine and confinement.
TEX. GOV’T CODE §§551.143-.146
Criminal Enforcement
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• Member of body commits offense if he participates in closed meeting knowing that certified agenda is not being kept or tape recording is not being made.
Ø PUNISHMENT = fine of not more than $500.
• Individual, corporation, or partnership commits offense if, without lawful authority, he/it knowingly discloses to member of public certified agenda or tape recording of meeting lawfully closed to public under TOMA.
Ø PUNISHMENT = fine of not more than $2,000, jail confinement for not less than 180 days, or both such fine and confinement.
TEX. GOV’T CODE §§551.143-.146
Criminal Enforcement
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© 2016 BICKERSTAFF HEATH DELGADO ACOSTA LLP
Ethics Law and Open Government
Bill Dugat 512-472-8021
[email protected] 3711 S. MoPac Expwy.
Bldg. 1, Suite 300 Austin, TX 78746
www.bickerstaff.com
Texas Alliance of Groundwater Districts Leadership Training
Austin, TX October 27, 2016