HomeMy WebLinkAbout011-SL Barnes & Noble Booksellers
In Re: Barnes and Noble Booksellers
[Barnes & Noble College Booksellers, LLC], : File Docket: 11-006-L
Respondent : X-ref: Order No. 011-SL
: Date Decided: 1/31/12
: Date Mailed: 2/3/12
Before: Louis W. Fryman, Chair
John J. Bolger, Vice Chair
Donald M. McCurdy
Raquel K. Bergen
Nicholas A. Colafella
Mark Volk
This is a final adjudication of the State Ethics Commission as to the alleged
delinquency and/or deficiency of registration statement(s) and/or expense report(s)
required to be filed pursuant to Pennsylvania’s lobbying disclosure law, 65 Pa.C.S. §
13A01 et seq., hereinafter referred to as the “Lobbying Disclosure Law.”
The Investigative Division initiated these proceedings by filing with the State Ethics
Commission and serving upon Respondent Barnes & Noble College Booksellers, LLC
(hereinafter also referred to as “Respondent”) a Notice of Alleged Noncompliance. A
Stipulation of Findings and a Consent Agreement waiving an evidentiary hearing were
subsequently submitted by the parties to the Commission for consideration. The
Stipulated Findings are set forth as the Findings in this Order. The Consent Agreement
has been approved.
I.ALLEGED NONCOMPLIANCE:
That Barnes & Noble College Booksellers, LLC, in its capacity as a principal
registered with the Pennsylvania Department of State pursuant [to] the
Pennsylvania Lobbying Disclosure Law (65 Pa.C.S. § 13A04), failed to timely file a
st
quarterly expense report pursuant [to] 65 Pa.C.S. § 13A05, for the first (1) quarter
of 2011.
II.FINDINGS:
1. The correct name of the registered principal is “Barnes & Noble College
Booksellers, LLC.”
a. “Barnes and Noble Booksellers” is a parent entity of “Barnes & Noble
College Booksellers, LLC.”
b. The principal registration statement filed with the Pennsylvania Department
of State identifies the registered principal only as “Barnes and Noble
Booksellers.”
c. For purposes of the instant Stipulation of Findings, the registered principal
and Respondent is “Barnes & Noble College Booksellers, LLC.”
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Page 2
2. Respondent is Barnes & Noble College Booksellers, LLC (“Respondent”) and is a
registered principal as that term is defined by the Pennsylvania Lobbying
Disclosure Law (“Lobbying Disclosure Law”), Act 134 of 2006, 65 Pa.C.S. § 13A01,
et seq.
a. Respondent initially registered as a principal with the Department of State on
July 27, 2009, for the registration period January 1, 2009, through December
31, 2010.
b. On January 13, 2011, Respondent renewed its principal registration with the
Department of State for the registration period January 1, 2011, through
December 31, 2012.
1. Respondent submitted its renewal fee of $200.00 via check number
1038.
c. In filing its principal registration, and renewal, Respondent identified its
registered mailing address as:
120 Mountain View Blvd.
Basking Ridge, NJ 07920
3. Respondent filed a principal registration statement with the Pennsylvania
Department of State on July 27, 2009.
a. Respondent’s registration statement indicated that lobbying commenced on
July 16, 2009.
b. Brian Abela filed the principal registration statement on behalf of the
Respondent.
1. Mr. Abela indicated that he represented a third-party preparing the
form for the Respondent.
2. By registering with the Department of State, the Respondent
consented to receive service of notices, other official mailings or
process at the address listed on the registration statement.
c. Respondent was assigned the principal registration number “P18048.”
4. Respondent’s principal registration renewal was filed on January 13, 2011, with the
Department of State.
a. Brian Abela filed the principal registration renewal on behalf of the
Respondent.
1. Mr. Abela indicated that he represented a third-party preparing the
form for the Respondent.
2. By renewing the registration with the Department of State, the
Respondent consented to receive service of notices, other official
mailings or process at the address listed on the registration
statement.
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5. The Lobbying Disclosure Law, specifically 65 Pa.C.S. § 13A04, states the following
regarding the registration of an entity as a principal:
§ 13A04. Registration
a. General rule.--
Unless excluded under section 13A06 (relating to exemption
from registration and reporting), a lobbyist, lobbying firm or a principal must
register with the department within ten days of acting in any capacity as a
lobbyist, lobbying firm or principal. Registration shall be biennial and shall
begin January 1, 2007.
b. Principals and lobbying firms.--
1. A principal or lobbying firm required to register under subsection (a)
shall file a single registration statement setting forth the following
information with the department:
i. Name.
ii. Permanent address.
iii. Daytime telephone number.
iv. E-mail address, if available.
v. Name and nature of business.
vi. Name, registration number and acronym of any affiliated
political action committees.
vii. Name and permanent business address of each individual who
will for economic consideration engage in lobbying on behalf of
the principal or lobbying firm.
viii. Registration number when available.
****
d. Amendments.--
1. If there is a change of information required for the registration
statement under subsection (b)(1) or (2) or (c), an amended
registration statement shall be filed with the department within 14
days after the change occurs.
2. When there is a change in information required for the registration
statement under subsection (b)(3), an amended registration statement
shall be filed with the department within 14 days of the end of the
year in which the change occurs.
65 Pa.C.S. § 13A04(a), (b)(1), (d).
6. In addition to the Lobbying Disclosure Law, the duly promulgated Regulations
provide further information in relation to registration periods and reporting periods:
§ 51.3. Registration periods and reporting periods.
a. Registration under section 13A04 of the act (relating to registration) shall be
biennial. The first registration period which commenced January 1, 2007,
continues through December 31, 2008. Subsequent registrations shall
commence on January 1 of each odd numbered year.
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51 Pa. Code § 51.3(a).
7. Section 13A05 of the Lobbying Disclosure Law sets forth, in part, the following
requirements for the contents of quarterly reporting forms filed by principals.
§ 13A05. Reporting
(a) General rule.--
A registered principal shall, under oath or affirmation, file
quarterly expense reports with the department no later than 30 days after the
last day of the quarter.
(b) Content.--
(1) Each expense report must list the names and registration numbers
when available of all lobbyists by whom lobbying is conducted on
behalf of the principal and the general subject matter or issue being
lobbied.
(2) Each expense report shall include the total costs of all lobbying for
the period. The total shall include all office expenses, personnel
expenses, expenditures related to gifts, hospitality, transportation and
lodging to State officials or employees, and any other lobbying costs.
The total amount reported under this paragraph shall be allocated in
its entirety among the following categories:
(i) The costs for gifts, hospitality, transportation and lodging given
to or provided to State officials or employees or their
imme-diate families.
(ii) The costs for direct communication.
(iii) The costs for indirect communication.
(iv) Expenses required to be reported under this subsection shall
be allocated to one of the three categories listed under this
section and shall not be included in more than one category.
65 Pa.C.S. § 13A05(a), (b)(1)-(2).
8. In addition to the Lobbying Disclosure Law, the duly promulgated Regulations
provide further instructions in relation to registration periods and reporting periods:
§ 51.3. Registration periods and reporting periods.
(b) Reporting under section 13A05 of the act (relating to reporting) shall be
quarterly within each calendar year: for January through March; April
through June; July through September; and October through December.
Quarterly expense reports shall be filed on or before the 30th day after the
quarterly reporting period ends.
51 Pa. Code § 51.3(b).
9. As a principal, Respondent is required to file, under oath or affirmation, quarterly
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expense reports with the Department of State no later than thirty (30) days after the
last day of the quarter.
10. Section 13A05 of the Lobbying Disclosure Law additionally sets forth the threshold
with regard to reporting expenditures:
(d) Thresholds for reporting.--
An expense report required under
this section shall be filed when total expenses for lobbying
exceed $2,500 for a registered principal in a reporting period.
In a reporting period in which total expenses are $2,500 or
less, a statement to that effect shall be filed.
65 Pa.C.S. § 13A05(d).
11. Section 13A03 of the Lobbying Disclosure Law defines the following terms:
“Lobbying.”
An effort to influence legislative action or administrative action
in this Commonwealth. The term includes:
(1) direct or indirect communication;
(2) office expenses; and
(3) providing any gift, hospitality, transportation or lodging to a State
official or employee for the purpose of advancing the interest of the
lobbyist or principal.
“Legislative action.”
An action taken by a State official or employee
involving the preparation, research, drafting, introduction, consideration,
modification, amendment, approval, passage, enactment, tabling,
postponement, defeat or rejection of:
(1) legislation;
(2) legislative motions;
(3) a veto by the Governor; or
(4) confirmation of appointments by the Governor or appointments to
public boards or commissions by a member of the General Assembly.
“Legislation.”
Bills, resolutions, amendments and nominations pending or
proposed in either the Senate or the House of Representatives. The term
includes any other matter which may become the subject of action by either
chamber of the General Assembly.
“Direct communication.”
An effort, whether written, oral or by any other
medium, made by a lobbyist or principal, directed to a State official or
employee, the purpose or foreseeable effect of which is to influence
legislative action or administrative action. The term may include personnel
expenses and offices expenses.
65 Pa.C.S. § 13A03.
12. As a registered principal, Respondent is required to file quarterly expense reports
with the Department of State.
a. Respondent filed quarterly reports for each quarter from the third quarter of
2009 through the fourth quarter of 2010.
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st
b. Respondent did not file a first (1) quarter 2011 expense report by May 2,
2011.
13. The Regulations promulgated under the Lobbying Disclosure Law specifically
provide the following in relation to a delinquent filing:
§ 51.4. Delinquency.
(a) A registration statement or report required to be filed under section 13A04 or
13A05 of the act (relating to registration; and reporting) is delinquent if not
received by the Department on the date due as follows:
(1) Hard copy filings must be received by 5 p.m. in the office. For
quarterly expense reports, from 5 p.m. until 12 a.m. midnight, a hard
copy filing may be filed with the Department's designee. The filing
location and the Department's designee will be on the Department's
web site.
(2) Electronic filings may be filed until 12 a.m. midnight.
(b) A failure to timely file a registration statement, a quarterly expense report, a
separate expense report, a notice of termination or an amendment to one of
these filings constitutes a failure to register or report as required by the act;
delinquency continues until the filing is received by the Department in proper
form.
51 Pa. Code § 51.4(a)-(b).
14. [In relation] to the filing requirements of quarterly expense reports, the Regulations
read, in part:
§ 55.1. Quarterly expense reports.
(a) A quarterly expense report is required to be filed as set forth in this section
when the total lobbying expenses of a registered principal, registered
lobbying firm or registered lobbyist lobbying on the principal's behalf,
together, exceed $2,500 in a quarterly reporting period. The threshold of
$2,500 includes any economic consideration paid by a principal to a
lobbying firm or lobbyist for lobbying. Individuals exempt under section
13A06 of the act (relating to exemption from registration and reporting) need
not register or report.
(b) For a quarterly reporting period in which the total lobbying expenses of a
registered principal, registered lobbying firm or registered lobbyist lobbying
on the principal's behalf, together, are $2,500 or less, a statement to that
effect shall be filed with the Department by checking the appropriate block
on the quarterly expense report form.
****
(d) The principal shall file a quarterly expense report or statement of failure to
meet the reporting threshold on or before the 30th day after the quarterly
reporting period ends.
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****
(g) A quarterly expense report of a principal required to be registered under the
act must include at least the following information:
(3) The total costs of all lobbying for the period. The total must include all
office expenses, personnel expenses, expenditures related to gifts,
hospitality, transportation and lodging to State officials or employees,
and any other lobbying costs.
(i) The total amount reported under this paragraph shall be
allocated in its entirety among the following categories:
(A) The costs for gifts, hospitality, transportation and
lodging given to or provided to State officials or
employees or their immediate families.
(B) The costs for direct communication.
(C) The costs for indirect communication.
(ii) Registrants shall use a good faith effort to allocate expenses
required to be reported under this subsection to one of the
three categories listed herein. A given expense may not be
included in more than one category. . . .
51 Pa. Code § 55.1(a), (b), (d), (g)(3)(i)-(ii).
15. By Warning Notice letter dated July 26, 2011, Respondent was served with notice
in accordance with Section 13A09 of the Lobbying Disclosure Law and Section
63.4(1) of the Lobbying Disclosure Regulations of the specific allegations that
Respondent failed to file a quarterly expense report for the first (1st) quarter of
2011.
a. Said Warning Notice was mailed to:
Barnes and Noble Booksellers
120 Mountain View Blvd.
Basking Ridge, NJ 07920
b. This is the same address as listed on Respondent’s principal registration
statement.
c. By submitting the principal registration statement, Respondent consented to
receipt of service of notices, other official mailings or process, at the address
listed on the registration statement. (See, Paragraphs 3(b)(2) and 4(a)(2)
above).
16. Said Warning Notice letter set forth the nature of the alleged noncompliance and
the administrative and criminal penalties for failing to file.
17. Said Warning Notice letter provided Respondent an opportunity to cure the alleged
noncompliance and avoid the institution of these proceedings as to alleged
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noncompliance by filing a quarterly expense report for the time period covering the
st
first (1) quarter of 2011 with the Department of State within thirty (30) days from
the mailing date of the Warning Notice letter.
18. The Acting Chief of the Division of Campaign Finance and Lobbying Disclosure
conducted a search of the records of the Department of State, and, as of October 5,
st
2011, no first (1) quarter 2011 expense report or notice of termination was found
to have been filed with the Department of State for Barnes & Noble College
Booksellers, LLC.
19. On Friday, September 30, 2011, representatives of the State Ethics Commission
contacted Brian Abela of the Bravo Group, via telephone, for the purpose of
acquiring information pertaining to Respondent.
a. During the telephone conversation, Mr. Abela inquired as to Respondent’s
filing status.
b. Mr. Abela expressed his intention to contact Respondent’s representatives to
inform them of the failure to file and the potential for penalties.
20. On Tuesday, October 4, 2011, the Investigative Division was contacted by Alvina
Yeh, of the Dewey Square Group, on behalf of the Respondent.
a. Ms. Yeh inquired as to Respondent’s filing status and was informed of the
delinquency.
b. Ms. Yeh confirmed that her call to the Investigative Division was prompted by
a call from Mr. Abela and/or a representative of the Bravo Group.
c. Ms. Yeh inquired as to potential penalties and was informed that the First
Quarter 2011 expense report was not timely filed, nor was it timely filed
within the cure period allotted pursuant to Warning Notice of July 26, 2011.
21. The Lobbying Disclosure Law provides for civil and criminal penalties for failing to
comply with the registration statement filing and quarterly expense reporting
requirements thereof. Specifically, the Lobbying Disclosure Law provides, in part,
that:
a. Negligent failure to register or report, as required by the Law, is punishable
by an administrative penalty not exceeding $50.00 for each late day. 65
Pa.C.S. § 13A09(c)(1).
22. On or about October 12, 2011, the Department of State received Respondent’s
outstanding principal quarterly expense reports.
a. The Department of State received the following quarterly expense reports:
st
1. First (1) quarter 2011.
nd
2. Second (2) quarter 2011.
rd
3. Third (3) quarter 2011.
23. As of the date of the filing of the outstanding quarterly expense report,
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Respondent’s first quarter 2011 expense report was a total of one hundred sixty-
three (163) days delinquent.
st
a. Respondent’s first (1) quarter 2011 expense report is 163 days delinquent
(May 3, 2011 - October 12, 2011).
st
1. First (1) quarter expense report period closed March 31, 2011. See,
65 Pa.C.S. § 13A03 Definitions - “Reporting period.”
2. Expense reports were to be filed within thirty (30) days of March 31,
2011, that date being April 30, 2011. See, 65 Pa.C.S. § 13A05(a).
st
3. The first day in which Respondent’s first (1) quarter 2011 expense
report was delinquent was May 1, 2011.
st
4. May 1, 2011, was a Sunday, thus Respondent’s first (1) quarter
expense report was not considered delinquent until May 3, [2011].
(See, 51 Pa. Code § 51.2).
24. The thirty-day deadline set forth in the Warning Notice letter to Respondent had
expired prior to Respondent complying with the specific requirements of the
Lobbying Disclosure Law.
25. Barnes & Noble College Booksellers, LLC avers that it was not aware of the specific
filing requirements concerning quarterly expense reports as set forth in the
Pennsylvania Lobbying Disclosure Law (“Lobbying Disclosure Law”), Act 134 of
2006, 65 Pa.C.S. § 13A01 et seq.
a. Barnes & Noble College Booksellers, LLC further acknowledges that
ignorance of the law is not an excuse or justification for non-compliance and
accepts both responsibility and the consequences of non-filing.
III. DISCUSSION:
In the instant matter, the alleged noncompliance is that Respondent, as a principal
registered with the Pennsylvania Department of State (“Department of State”) pursuant to
the Lobbying Disclosure Law, failed to timely file a quarterly expense report pursuant to 65
Pa.C.S. § 13A05 for the first quarter of 2011.
The relevant provisions of the Lobbying Disclosure Law are set forth in the Fact
Findings above. Certain relevant provisions of the Lobbying Disclosure Regulations, 51
Pa. Code § 51.1 et seq., are also set forth in the Fact Findings.
As noted above, the parties have submitted a Consent Agreement and Stipulation of
Findings. The parties' Stipulated Findings are set forth above as the Findings of this
Commission. We shall now summarize the relevant facts as contained therein.
Respondent initially registered as a principal with the Department of State on July
27, 2009, for the registration period January 1, 2009, through December 31, 2010.
Respondent was assigned the principal registration number “P18048.” On January 13,
2011, Respondent renewed its principal registration with the Department of State for the
registration period January 1, 2011, through December 31, 2012.
Pursuant to Section 13A05 of the Lobbying Disclosure Law, 65 Pa.C.S. § 13A05,
Barnes & Noble College Booksellers, LLC, 11-006-L
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and Section 51.3 of the Lobbying Disclosure Regulations, 51 Pa. Code § 51.3, expense
reports are filed on a quarterly basis. When a registered principal’s total expenses for
lobbying exceed $2,500 for a reporting period/quarter, the principal is required to file a
quarterly expense report with the Department of State by no later than 30 days after the
last day of such quarter. For a reporting period in which total expenses are $2,500 or less,
a statement to that effect must be filed by the principal. Thus, a registered principal must
file either a quarterly expense report or a statement of failure to meet the reporting
threshold by no later than the 30th day after each quarterly reporting period ends. 51 Pa.
Code § 55.1(d).
For the registration period January 1, 2011, through December 31, 2012,
Respondent was a registered principal as of January 13, 2011; therefore, Respondent was
required to file a quarterly expense report for the first quarter of 2011. Respondent failed
to file a quarterly expense report for the first quarter of 2011 by the filing deadline.
Failure to timely file a quarterly expense report constitutes a failure to report as
required by the Lobbying Disclosure Law, and the delinquency continues until the filing is
received by the Department of State in proper form. 51 Pa. Code § 51.4(b).
By Warning Notice letter dated July 26, 2011, Respondent was served with notice of
the alleged noncompliance in accordance with Section 63.4(1) of the Lobbying Disclosure
Regulations, 51 Pa. Code § 63.4(1). The Warning Notice letter provided Respondent an
opportunity to cure the alleged noncompliance and avoid the institution of these
proceedings by filing a quarterly expense report for the first quarter of 2011 with the
Department of State within thirty (30) days of the mailing date of the Warning Notice letter.
As of October 5, 2011, no first quarter 2011 expense report or notice of termination
was found to have been filed with the Department of State for Respondent .
On or about October 12, 2011, the Department of State received several quarterly
expense reports for Respondent, including Respondent’s quarterly expense report for the
first quarter of 2011.
Negligent failure to register or report as required by the Lobbying Disclosure Law is
punishable by an administrative penalty of up to $50.00 for each late day. 65 Pa.C.S. §
13A09(c)(1). Per the Consent Agreement and Stipulation of Findings, the parties are in
agreement that Respondent’s expense report for the first quarter of 2011 was 163 days
delinquent.
Having highlighted the Stipulated Findings and issues before us, we shall now apply
the Lobbying Disclosure Law to determine the proper disposition of this case.
The parties' Consent Agreement sets forth a proposed resolution of the allegations
as follows:
4. The Investigative Division will recommend the following
conclusions in relation to the above deficiencies:
a. That Barnes & Noble College Booksellers, LLC , in its
capacity as a Principal registered with the Pennsylvania
Department of State pursuant [to] the Pennsylvania
Lobbying Disclosure Law (65 Pa.C.S. §13A04), failed to
timely file a Quarterly Expense Report pursuant [to] 65
st
Pa.C.S. § 13A05, for the First (1) Quarter of 2011.
Barnes & Noble College Booksellers, LLC, 11-006-L
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b. That the transgressions of the Lobbying Disclosure Law
outlined in paragraph (a) above are deemed to be
negligent in nature.
c. Barnes & Noble College Booksellers, LLC was deficient
st
in filing its First (1) Quarter 2011 Expense Report, by a
total of 163 days, calculated as set forth below:
i. On July 26, 2011, a Warning Notice regarding
the delinquent quarterly expense report was sent
to Respondent via First Class United States
Mail;
ii. Respondent did not file the outstanding
st
Quarterly expense report for First (1) Quarter
2011 within the stated cure period;
iii. Respondent filed the delinquent Quarterly
expense report with the Pennsylvania
st
Department of State for the First (1) Quarter
2011 on or about October 12, 2011;
iv. For purposes of this Consent Agreement only,
the delinquent period was calculated from the
st
date the First (1) Quarter 2011 expense report
was delinquent (May 3, 2011), until the date
Respondent filed the delinquent quarterly
expense report with the Pennsylvania
Department of State, that being on or about
October 12, 2011, said period being one
hundred sixty-three (163) days.
5. Barnes & Noble College Booksellers, LLC agrees to pay an
administrative penalty, by way of certified check or money
order, in the amount of $5,705.00 (163 days x $35.00 per
diem) in settlement of this matter, payable to the
Commonwealth of Pennsylvania, and forwarded to the
Pennsylvania State Ethics Commission upon execution of this
agreement.
a. Said settlement payment (certified check or money
order) is to be held by the Investigative Division until
such time as the Commission accepts this Consent
Agreement and issues a Final Order. Upon issuance of
the Final Order of this matter by the Commission, the
Investigative Division will submit said settlement
payment for deposit into the Treasury of the
Commonwealth.
6. To the extent it has not already done so, Barnes & Noble
College Booksellers, LLC agrees to file all outstanding
Quarterly Expense Reports for the Quarter(s) that said entity
was/is Registered as a Principal with the Pennsylvania
Department of State, within fifteen (15) days of the execution
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of this agreement.
a. Barnes & Noble College Booksellers, LLC agrees to
timely file all future Quarterly Expense Reports for the
Quarter(s) that said entity is/remains a Registered
Principal with the Pennsylvania Department of State, in
accord with the Pennsylvania Lobbying Disclosure Law
(65 Pa.C.S. §13A01 et seq.) and the Regulations of the
Lobbying Disclosure Law (51 Pa. Code §51.1 et seq.)
7. The Investigative Division will recommend that the State Ethics
Commission take no further action in this matter; impose no
further sanctions and make no specific recommendations to
any law enforcement or other authority to take action in this
matter as to either Barnes & Noble College Booksellers, LLC,
or any individual or representative of Barnes & Noble College
Booksellers, LLC. Such, however, does not prohibit the
Commission from initiating appropriate enforcement actions in
the event of Respondent’s failure to comply with this
agreement or the Commission’s Order or cooperating with any
other authority who may so choose to review this matter
further.
Consent Agreement, at 2-3.
In considering the Consent Agreement and Stipulation of Findings, we agree with
the parties that Respondent as a registered principal failed to timely file a quarterly
expense report with the Department of State for the first quarter of 2011 as required by
Section 13A05 of the Lobbying Disclosure Law.
Accordingly, we hold that that Respondent as a registered principal failed to timely
file a quarterly expense report with the Department of State for the first quarter of 2011 as
required by Section 13A05 of the Lobbying Disclosure Law. We shall accept the
recommendation of the parties for a determination that the transgression(s) of the
Lobbying Disclosure Law outlined immediately above are deemed to be negligent in
nature.
The parties have agreed that Respondent was 163 days delinquent in filing its
quarterly expense report for the first quarter of 2011.
As part of the Consent Agreement, Respondent agreed to pay an administrative
penalty, by way of certified check or money order, in the amount of $5,705.00 (163 days x
$35.00 per day) in settlement of this matter, payable to the Commonwealth of
Pennsylvania and forwarded to this Commission upon execution of the Consent
Agreement. The Consent Agreement provided that said settlement payment would be held
by the Investigative Division until this Commission would accept the Consent Agreement
and issue a final Order, whereupon the Investigative Division would submit said settlement
payment for deposit into the Treasury of the Commonwealth.
To the extent it had not already done so, Respondent further agreed to file all
outstanding quarterly expense reports for the quarter(s) that Respondent had been
registered as a principal with the Department of State, within fifteen (15) days of the
execution of the Consent Agreement.
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The Consent Agreement was fully executed as of November 16, 2011.
Respondent also agreed to timely file all future quarterly expense reports for the
quarter(s) that it is/remains a registered principal with the Department of State, in
accordance with the Lobbying Disclosure Law and the Lobbying Disclosure Regulations.
We determine that the Consent Agreement submitted by the parties sets forth a
proper disposition for this case, based upon our review as reflected in the above analysis
and the totality of the facts and circumstances. Accordingly, we approve the Consent
Agreement that has been submitted by the parties.
This Commission hereby levies one administrative penalty against Respondent
Barnes & Noble College Booksellers, LLC in the amount of $5,705.00 for its delinquent
quarterly expense report for the first quarter of 2011.
We take administrative notice that Respondent has already made payment of the
aforesaid administrative penalty in the amount of $ 5,705.00 through this Commission to
the Commonwealth of Pennsylvania, as per the Consent Agreement of the parties.
Additionally, per the Consent Agreement and Stipulation of Findings, Respondent filed a
quarterly expense report for the first quarter of 2011 on or about October 12, 2011.
As for Respondent’s agreement to file all outstanding and future quarterly expense
reports as set forth in the Consent Agreement, we note that failure to do so may result in
further proceedings before this Commission.
In that Respondent has already made payment of the aforesaid administrative
penalty in the amount of $ 5,705.00 in accordance with the Consent Agreement of the
parties, and has now filed a quarterly expense report for the first quarter of 2011, no
further action is required in this case, and this case is closed.
IV.CONCLUSIONS OF LAW:
1. As a principal registered with the Pennsylvania Department of State (“Department
of State”) under principal registration number “P18048,” Barnes & Noble College
Booksellers, LLC has been subject to the reporting requirements of Section 13A05
of Pennsylvania’s lobbying disclosure law (“Lobbying Disclosure Law”), 65 Pa.C.S.
§ 13A05.
2. Barnes & Noble College Booksellers, LLC, in its capacity as a principal registered
with the Department of State, failed to timely file a quarterly expense report with the
Department of State for the first quarter of 2011 as required by Section 13A05 of
the Lobbying Disclosure Law, 65 Pa.C.S. § 13A05.
3. The transgression(s) of the Lobbying Disclosure Law outlined in paragraph 2
immediately above are deemed to be negligent in nature.
4. The prerequisite service of a warning notice in accordance with Section 63.4(1) of
the Lobbying Disclosure Regulations, 51 Pa. Code § 63.4(1), was satisfied.
5. Based upon the totality of the circumstances in this case, the imposition of an
administrative penalty in the amount of $5,705.00 (163 days x $35.00 per day) is
warranted.
In Re: Barnes and Noble Booksellers
[Barnes & Noble College Booksellers, LLC], : File Docket: 11-006-L
Respondent : Date Decided: 1/31/12
: Date Mailed: 2/3/12
ORDER NO. 011-SL
1. Barnes & Noble College Booksellers, LLC, in its capacity as a principal registered
with the Pennsylvania Department of State (“Department of State”) under principal
registration number “P18048,” failed to timely file a quarterly expense report with
the Department of State for the first quarter of 2011 as required by Section 13A05
of Pennsylvania’s lobbying disclosure law (“Lobbying Disclosure Law”), 65 Pa.C.S.
§ 13A05.
2. The transgression(s) of the Lobbying Disclosure Law outlined in paragraph 1
immediately above are deemed to be negligent in nature.
3. This Commission hereby levies one administrative penalty against Barnes & Noble
College Booksellers, LLC in the amount of $5,705.00 for its delinquent quarterly
expense report for the first quarter of 2011.
4. In that Barnes & Noble College Booksellers, LLC has already made payment of the
aforesaid administrative penalty in the amount of $5,705.00 in accordance with the
Consent Agreement of the parties, and has now filed a quarterly expense report for
the first quarter of 2011, no further action is required in this case, and this case is
closed.
BY THE COMMISSION,
___________________________
Louis W. Fryman, Chair