HomeMy WebLinkAbout99-532 SnyderThomas Snyder
Snyder Brothers Auto, Inc.
201 Third Ave.
Carnegie, PA 15106
STATE ETHICS COMMISSION
309 FINANCE BUILDING
P.O. BOX 11470
HARRISBURG, PA 1 71 08 -1 470
(717) 783 -1610
1- 800 - 932 -0936
ADVICE OF COUNSEL
March 30, 1999
FAX: (717) 787 - 0806 • Web Site: www.ethics.state.pa.us • e - mail: ethics @state.pa.us
99 -532
Re: Conflict; Public Official /Public Employee; Owner; Private Employment or
Business; Contract; Borough Council.
Dear Mr. Snyder:
This responds to your letter of March 9, 1999, by which you requested advice
from the State Ethics Commission.
Issue: Whether a borough council member is prohibited or restricted by the
Public Official and Employee Ethics Act ( "Ethics Act "), 65 Pa.C.S. §1101 seq., from
working with, being employed by or associated with a business in a private capacity
in addition to public service.
Facts: You are part owner of Snyder Brothers Auto, Inc., a business which has
contracted with the Borough of Carnegie ( "Borough ") to repair all Borough vehicles and
provide gasoline since 1957. The current contract expires in 2004.
You are currently a candidate for Borough Council. Your opponents believe that
it is illegal for you to run for Borough Council because your business holds a contract
with the Borough. However, if elected, you intend to abstain from all discussions
regarding the contract with your business, including but not limited to abstaining on
all votes regarding bills to be paid to your business.
You ask for an advisory from the State Ethics Commission as to whether you
may be a candidate for and serve as a Member of Borough Council when your private
business has a contract with the Borough.
Discussion: It is initially noted that pursuant to Sections 1107(10) and
1107(11) of the Ethics Act, 65 Pa.C.S. §§1107(10), (11), advisories are issued to the
requestor based upon the facts which the requestor has submitted. In issuing the
advisory based upon the facts which the requestor has submitted, the Commission
does not engage in an independent investigation of the facts, nor does it speculate as
to facts which have not been submitted. It is the burden of the requestor to truthfully
disclose all of the material facts relevant to the inquiry. 65 Pa.C.S. §§1107(10), (1 1).
An advisory only affords a defense to the extent the requestor has truthfully disclosed
all of the material facts.
Snyder, 99 -532
March 30, 1999
Page 2
As a Borough Council Member, you would be a public official as that term is
defined under the Ethics Act, and hence you would be subject to the provisions of that
Act.
Section 1 103(a) of the Ethics Act provides:
Section 1103. Restricted activities.
(a) Conflict of interest. - -No public official or public
employee shall engage in conduct that constitutes a conflict
of interest.
65 Pa.C.S. §1103(a).
The following terms are defined in the Ethics Act as follows:
Section 1102. Definitions.
"Conflict" or "conflict of interest." Use by a public
official or public employee of the authority of his office or
employment or any confidential information received
through his holding public office or employment for the
private pecuniary benefit of himself, a member of his
immediate family or a business with which he or a member
of his immediate family is associated. The term does not
include an action having a de minimis economic impact or
which affects to the same degree a class consisting of the
general public or a subclass consisting of an industry,
occupation or other group which includes the public official
or public employee, a member of his immediate family or a
business with which he or a member of his immediate
family is associated.
"Authority of office or employment." The actual
power provided by law, the exercise of which is necessary
to the performance of duties and responsibilities unique to
a particular public office or position of public employment.
"Business." Any corporation, partnership, sole
proprietorship, firm, enterprise, franchise, association,
organization, self - employed individual, holding company,
joint stock company, receivership, trust or any legal entity
organized for profit.
"Business with which he is associated." Any
business in which the person or a member of the person's
immediate family is a director, officer, owner, employee or
has a financial interest.
65 Pa.C.S. §1102.
Snyder, 99 -532
March 30, 1999
Page 3
Section 1 103(f) of the Ethics Act provides as follows:
Section 1 103. Restricted activities.
(f) Contract. - -No public official or public employee or
his spouse or child or any business in which the person or
his spouse or child is associated shall enter into any
contract valued at $500 or more with the governmental
body with which the public official or public employee is
associated or any subcontract valued at $500 or more with
any person who has been awarded a contract with the
governmental body with which the public official or public
employee is associated, unless the contract has been
awarded through an open and public process, including prior
public notice and subsequent public disclosure of all
proposals considered and contracts awarded. In such a
case, the public official or public employee shall not have
any supervisory or overall responsibility for the
implementation or administration of the contract. Any
contract or subcontract made in violation of this subsection
shall be voidable by a court of competent jurisdiction if the
suit is commenced within 90 days of the making of the
contract or subcontract.
65 Pa.C.S. §1103(f).
Section 1 103(f) does not operate to make contracting with the governmental
body permissible where it is otherwise prohibited. Rather, where a public official /public
employee, his spouse or child, or a business with which he, his spouse or child is
associated, is otherwise appropriately contracting with the governmental body, or
subcontracting with any person who has been awarded a contract with the
governmental body, in an amount of $500.00 or more, Section 1103(f) requires that
an "open and public process" be observed as to the contract with the governmental
body. Pursuant to Section 1103(f), an "open and public process" includes:
(1) prior public notice of the employment or contracting possibility;
(2) sufficient time for a reasonable and prudent competitor /applicant to be
able to prepare and present an application or proposal;
(3) public disclosure of all applications or proposals considered; and
(4) public disclosure of the contract awarded and offered and accepted.
Section 1103(f) of the Ethics Act also requires that the public official /employee
may not have any supervisory or overall responsibility as to the implementation or
administration of the contract with the governmental body.
Section 1 103(j) of the Ethics Act provides as follows:
Section 1103. Restricted activities.
(j) Voting conflict. - -Where voting conflicts are not
otherwise addressed by the Constitution of Pennsylvania or
by any law, rule, regulation, order or ordinance, the
Snyder, 99 -532
March 30, 1999
Page 4
following procedure shall be employed. Any public official
or public employee who in the discharge of his official
duties would be required to vote on a matter that would
result in a conflict of interest shall abstain from voting and,
prior to the vote being taken, publicly announce and
disclose the nature of his interest as a public record in a
written memorandum filed with the person responsible for
recording the minutes of the meeting at which the vote is
taken, provided that whenever a governing body would be
unable to take any action on a matter before it because the
number of members of the body required to abstain from
voting under the provisions of this section makes the
majority or other legally required vote of approval
unattainable, then such members shall be permitted to vote
if disclosures are made as otherwise provided herein. In the
case of a three - member governing body of a political
subdivision, where one member has abstained from voting
as a result of a conflict of interest, and the remaining two
members of the governing body have cast opposing votes,
the member who has abstained shall be permitted to vote
to break the tie vote if disclosure is made as otherwise
provided herein.
65 Pa.C.S. §1103(j).
Section 1103(a) of the Ethics Act does not prohibit public officials /public
employees from having outside business activities or employment; however, the public
official /public employee may not use the authority of his public position — or
confidential information obtained by being in that position — for the advancement of
his own private pecuniary benefit or that of a business with which he is associated.
Pancoe, Opinion 89 -011. Examples of conduct that would be prohibited under Section
1103(a) would include: (1) the pursuit of a private business opportunity in the course
of public action, Metrick, Order No. 1037; (2) the use of governmental facilities, such
as governmental telephones, postage, staff, equipment, research materials, or other
property, or the use of governmental personnel, to conduct private business activities,
Freind, Order No. 800; Pancoe, supra; and (3) the participation in an official capacity
as to matters involving the business with which the public official /public employee is
associated in his private capacity, such as the review /selection of its bids or proposals,
Gorman, Order No. 1041.
If the private employer or business with which the public official /public
employee is associated would have a matter pending before the governmental body,
the public official /public employee would have a conflict of interest as to such matter.
Miller, Opinion No. 89 -024. In each instance of a conflict of interest, the public
official /public employee would be required to abstain from participation and to satisfy
the disclosure requirements of Section 1103(j).
Under the facts which you have submitted, Section 1103(a) of the Ethics Act
would not preclude your business from supplying gasoline to or repairing vehicles for
the Borough while you are a candidate or become a Council member, if elected,
subject to the restrictions and qualifications as noted above. In addition, if the Borough
seeks another contract after the current contract expires in 2004, the contract must
be awarded through an open and public process pursuant to Section 1103(f), assuming
that your business would bid on the contract. Lastly, the requirements of Section
1103(j) as outlined above must be followed.
Snyder, 99 -532
March 30, 1999
Page 5
This Advice is limited to addressing the applicability of Section 1103(a) of the
Ethics Act. It is expressly assumed that there has been no use of authority of office
for a private pecuniary benefit as prohibited by Section 1 103(a) of the Ethics Act.
Further, you are advised that Sections 1103(b) and 1 103(c) of the Ethics Act provide
in part that no person shall offer to a public official /public employee and no public
official /public employee shall solicit or accept anything of monetary value based upon
the understanding that the vote, official action, or judgment of the public official /public
employee would be influenced thereby. Reference is made to these provisions of the
law not to imply that there has been or will be any transgression thereof but merely
to provide a complete response to the question presented.
The propriety of the proposed conduct has only been addressed under the Ethics
Act; the applicability of any other statute, code, ordinance, regulation or other code
of conduct other than the Ethics Act has not been considered in that they do not
involve an interpretation of the Ethics Act. Specifically not addressed herein is the
applicability of the Borough Code.
Conclusion: As a Borough Council Member, you would be a public official
subject to the provisions of the Ethics Act. Section 1 103(a) of the Public Official and
Employee Ethics Act ( "Ethics Act "), 65 Pa.C.S. §1101 DI seq., would not preclude you
from outside business activity subject to the restrictions and qualifications as noted
above. In the event that your business would have matter(s) pending before your
governmental body, then you would be required to abstain and to satisfy the disclosure
requirements of Section 1103(j) of the Ethics Act set forth above. If the Borough
seeks another contract in the future and your business would bid on the contract, the
requirements of Section 1 103(f) of the Ethics Act outlined above must be followed.
Lastly, the propriety of the proposed conduct has only been addressed under the Ethics
Act.
Pursuant to Section 1107(11), an Advice is a complete defense in any
enforcement proceeding initiated by the Commission, and evidence of good faith
conduct in any other civil or criminal proceeding, provided the requestor has disclosed
truthfully all the material facts and committed the acts complained of in reliance on the
Advice given.
This letter is a public record and will be made available as such.
Finally, if you disagree with this Advice or if you have any reason
to challenge same, you may appeal the Advice to the full Commission.
A personal appearance before the Commission will be scheduled and a
formal Opinion will be issued by the Commission.
Any such appeal must be in writing and must be actually received
at the Commission within thirty (30) days of the date of this Advice
pursuant to 51 Pa. Code §13.2(h). The appeal may be received at the
Commission by hand delivery, United States mail, delivery service, or.
by FAX transmission (717- 787 - 0806). Failure to file such an appeal at
the Commission within thirty (30) days may result in the dismissal of
the appeal.
cerely,
- 1)
Vincent opko
Chief Counsel