Pursuant to Iowa Code section 68B.32B(1), the Board has the jurisdiction to investigate ethics complaints concerning executive branch personnel and candidates f
Iowa Code s 56.12AThus, so long as your communications do not contain terms of "express advocacy" as defined in Iowa Code section 56.2(14)"b" and rule 351 IAC 4
Therefore, so long as the person follows the procedural safeguards in the statute, working with the school on behalf of the AEA and serving on the school board
We have reviewed the campaign finance laws in Iowa Code chapter 56 and nothing prohibits the situation that you raise. However, Iowa Code section 56.12A does pr
In general response to all four of your questions, you would be prohibited from using any county resources or other "evidence of office" in your outside employm
In addition, we do not see how the situation you describe would give the employee or a family member an "advantage or pecuniary benefit that is not available" t
The fact that WITCC is located in your police department's jurisdiction is not a conflict of interest. In addition, based on the information that you have provi
Therefore, if the Association does not pay you for lobbying or does not designate you as its representative, you would not be required to register as a lobbyist
*rule 5.3. As a “charter school” is a public governmental entity, the prohibition on the use of public resources for a political purpose in Iowa Code section 68
The Board cannot make a general pronouncement concerning whether or not lecturing at a SEAT program by a governmental official or employee is an “act that the p