HomeMy WebLinkAbout251-S LabonIn Re: Lori Labon,
Respondent,
File Docket: 06 -020 -P
X -ref: Order No.: 251 -S
Date Decided: 5/31/06
Date Mailed: 6/12/06
Before: Louis W. Fryman, Chair
John J. Bolger, Vice Chair
Donald M. McCurdy
Paul M. Henry
Raquel K. Bergen
Nicholas A. Colafella
Reverend Scott Pilarz
This is a final adjudication of the State Ethics Commission as to the alleged
delinquency and /or deficiency of Statement(s) of Financial Interests required to be filed
pursuant to Sections 1104 and 1105 of the Public Official and Employee Ethics Act
( "Ethics Act "), 65 Pa.C.S. §1101 et seq.
The Investigative Division initiated these proceedings by filing with the State Ethics
Commission and serving upon Respondent a Petition for Civil Penalties. An Order to
Show Cause was issued to Respondent. An Answer was not filed by the Respondent, and
a hearing was deemed waived. The record is complete. The Findings in this Order are
quoted from the Petition for Civil Penalty(ies) filed by the Investigative Division.
This is a final Order, and it is publicly available upon issuance. Reconsideration
may be requested, but a request for reconsideration will not affect the finality of this
adjudication or its availability as a public document. Any reconsideration request must be
received at this Commission within thirty days of the mailing date noted above and must
include a detailed explanation of the reasons as to why reconsideration should be granted
in conformity with 51 Pa. Code §21.29(b).
Labon, 06 -020 -P
Page 2
I. FINDINGS:
1. Respondent is an adult individual who resides or maintains a mailing address at
200 Mercer Avenue, New Brighton, PA 15066.
2. At all times relevant to these proceedings, Respondent has been a Business
Manager of South Side School District and as such Respondent has at all times
relevant to these proceedings been a "public official" as that term is defined in
Section 2 of the Ethics Law, 65 Pa.C.S. §1102.
3. Respondent as a public official is subject to the Statement of Financial Interests
filing provisions of the Ethics Law.
4. Respondent has failed to provide full financial disclosure as required by the Ethics
Law. Respondent has failed to file Statements of Financial Interests for calendar
year(s) 2000 and 2001 with the South Side School District, which Statements of
Financial Interests were to be filed by May 1 of 2001 and 2002, and Respondent
has therefore transgressed Sections 4 and 5 of the Ethics Law, 65 Pa.C.S. § §1104,
1105.
5. By Notice letter dated April 20, 2005, Respondent was served with Notice in
accordance with Section 7(5) of the Ethics Law of the specific allegations against
Respondent concerning the above transgression. Said Notice letter provided
Respondent an opportunity to avoid the institution of these civil penalty proceedings
by filing accurate and complete Statements of Financial Interests for calendar
year(s) 2000 and 2001 within twenty (20) days of the date of the Notice letter.
Respondent has failed and refused to file Statements of Financial Interests for
calendar year(s) 2000 and 2001 so as to comply with the specific requirements of
the Ethics Law... .
6. By Notice letter dated June 6, 2005, Respondent was served with Notice in
accordance with Section 7(5) of the Ethics Law of the specific allegations against
Respondent concerning the above transgression. Said Notice letter provided
Respondent an opportunity to avoid the institution of these civil penalty proceedings
by filing accurate and complete Statements of Financial Interests for calendar
year(s) 2000 and 2001 within twenty (20) days of the date of the Notice letter.
Respondent has failed and refused to file Statements of Financial Interests for
calendar year(s) 2000 and 2001 so as to comply with the specific requirements of
the Ethics Law... .
7 Section 9(f) of the Ethics Law provides:
Section 9. Penalties
(f) In addition to any other civil remedy or criminal
penalty provided for in this act, the commission may, after
notice has been served in accordance with section 7(5) and
upon a majority vote of its members, levy a civil penalty upon
any person subject to this act who fails to file a statement of
financial interests in a timely manner or who files a deficient
statement of financial interests, at a rate of not more than $25
for each day such statement remains delinquent or deficient.
The maximum penalty payable under this paragraph is $250.
65 Pa.C.S. §1109(f).
8. For each violation the Commission finds, Respondent is subject to civil penalty
liability under Section 9(f) of the Ethics Law, 65 Pa. C.S. §1109(f) at a rate of not
Labon, 06 -020 -P
Page 3
more than $25.00 per day for each day the Statement of Financial Interests remains
delinquent or deficient, for a maximum civil penalty of $250.00 per violation.
Because Respondent has committed two violation(s) alleged herein, Respondent is
subject to total maximum civil penalty liability of $500.00 for said violation(s).
9. There are no mitigating circumstances and Respondent should be assessed the
maximum civil penalty of $250.00 for each violation, in that the twenty -day deadline
set forth in the said final Notice letter to Respondent has expired and the
Respondent has not complied.
II. DISCUSSION:
As a Business Manager for the South Side School District, Lori Labon ( "Labon ") was
at all times relevant to these proceedings a "public official /public employee" subject to the
provisions of the Public Official and Employee Ethics Act ( "Ethics Act "), 65 Pa.C.S. §1101,
et seq.
Pursuant to Section 1104(a) of the Ethics Act, Labon was specifically required to file
a Statement of Financial Interests for calendar years 2000 and 2001 with the South Side
School District on or before May 1, 2001 and 2002. Section 1104(a) provides:
§1104. Statement of financial interests required to be filed
(a) Public official or public employee. - -Each public official of the
Commonwealth shall file a statement of financial interests for the preceding
calendar year with the commission no later than May 1 of each year that he
holds such a position and of the year after he leaves such a position. Each
public employee and public official of the Commonwealth shall file a
statement of financial interests for the preceding calendar year with the
department, agency, body or bureau in which he is employed or to which he
is appointed or elected no later than May 1 of each year that he holds such a
position and of the year after he leaves such a position. Any other public
employee or public official shall file a statement of financial interests with the
governing authority of the political subdivision by which he is employed or
within which he is appointed or elected no later than May 1 of each year that
he holds such a position and of the year after he leaves such a position.
Persons who are full -time or part -time solicitors for political subdivisions are
required to file under this section.
65 Pa.C.S. §1104(a).
The complete financial disclosure which Labon as a Business Manager for the
South Side School District was required to provide in the Statement of Financial Interests
form is statutorily mandated in detail at Section 1105 of the Ethics Act, 65 Pa.C.S. §1105.
Section 1109(f) of the Ethics Act provides as follows:
§1109. Penalties
(f) Civil Penalty. -- In addition to any other civil remedy or criminal
penalty provided for in this chapter, the commission may, after notice has
been served in accordance with section 1107(5) (relating to powers and
duties of commission) and upon a majority vote of its members, levy a civil
penalty upon any person subject to this chapter who fails to file a statement
of financial interests in a timely manner or who files a deficient statement of
financial interests, at a rate of not more than $25 for each day such
statement remains delinquent or deficient. The maximum penalty payable
Labon, 06 -020 -P
Page 4
under this paragraph is $250.
65 Pa.C.S. §1109(f).
An application of Section 1109(f) to this case establishes that this Commission has
the discretion to levy a maximum civil penalty against Labon for each delinquent or
deficient Statement of Financial Interests.
The prerequisite service of a Notice letter in accordance with Section 1107(5) was
satisfied. Labon did not remedy the failure to comply with the Ethics Act although given
more than the usual grace period following Notice in which to do so.
The Investigative Division then instituted formal proceedings against Labon by filing
with the State Ethics Commission and serving upon Labon a Petition for Civil Penalties.
The State Ethics Commission issued an Order to Show Cause, ordering Labon to show
cause why a civil penalty should not be levied against her.
Labon did not file an answer to the Order to Show Cause. There is nothing of
record that would constitute a defense or excuse for Respondent's failure to comply with
the Ethics Act. Labon has failed to show cause why a civil penalty should not be levied
against her in this matter.
We find that Labon, as a Business Manager for the South Side School District,
failed to comply with Section 1104(a) of the Ethics Act, 65 Pa.C.S. §1104(a), when she
failed to file a Statement of Financial Interests for calendar years 2000 and 2001 with the
South Side School District.
We hereby levy two civil penalties against Labon at the rate of Twenty -Five Dollars
($25.00) per day, for each day her Statements of Financial Interests for calendar years
2000 and 2001 have remained delinquent. Given the number of days during which the
Statements of Financial Interests have remained delinquent, the resultant amount to be
levied against Labon is Five - Hundred Dollars ($500.00).
Labon shall be ordered to make payment of the above civil penalties in the amount
of $500.00 by no later than the thirtieth (30) day after the mailing date of this Order, by
forwarding a check to this Commission made payable to the Commonwealth of
Pennsylvania, for deposit in the State Treasury.
Labon shall be ordered to file complete and accurate Statements of Financial
Interests for calendar years 2000 and 2001 with this Commission within 30 days of the
issuance of this adjudication and Order.
III. CONCLUSIONS OF LAW:
1. Lori Labon ( "Labon "), as a Business Manager of the South Side School District, was
at all times relevant to these proceedings a "public official /public employee" subject
to the provisions of the Public Official and Employee Ethics Act ( "Ethics Act "), 65
Pa.C.S. §1101 et seq.
2. Labon, as a Business Manager of South Side School District, failed to comply with
Section 1104(a) of the Ethics Act, 65 Pa.C.S. §1104(a), when she failed to file
Statements of Financial Interests for calendar years 2000 and 2001 with the South
Side School District.
3. Notice of the delinquency of Labon's Statements of Financial Interests for calendar
years 2000 and 2001 was previously served upon her in accordance with Section
1107(5) of the Ethics Act, 65 Pa.C.S. §1107(5).
Labon, 06 -020 -P
Page 5
4. Based upon the totality of the circumstances in this case, civil penalties in the total
amount of $500 are warranted.
IN RE: Lori Labon,
Respondent
File Docket: 06 -020 -P
Date Decided: 5/31/06
Date Mailed: 6/12/06
ORDER NO. 251 -S
1 Lori Labon, ( "Labon ") as a Business Manager of the South Side School District,
failed to comply with Section 1104(a) of the Public Official and Employee Ethics Act
( "Ethics Act "), 65 Pa.C.S. §1104(a), when she failed to file Statements of Financial
Interests for calendar years 2000 and 2001 with the South Side School District.
2. This Commission hereby levies two civil penalties against Labon at the rate of
Twenty -Five Dollars ($25.00) per day for each day her Statements of Financial
Interests for calendar years 2000 and 2001 have remained delinquent, for a total of
Five Hundred Dollars ($500.00). Labon is ordered to pay the said civil penalties in
the total amount of $500 by no later than the thirtieth (30) day after the mailing
date of this Order, by forwarding a check to this Commission made payable to the
Commonwealth of Pennsylvania, for deposit in the State Treasury.
3. Labon is ordered to file complete and accurate Statements of Financial Interests for
calendar years 2000 and 2001 with the South Side School District within 30 days of
issuance of this adjudication and Order with copies filed with this Commission for
compliance verification purposes.
4. Failure to comply with any provision of this Order will result in the initiation of an
appropriate enforcement action.
BY THE COMMISSION,
Louis W. Fryman, Chair