We believe such a transfer is permissible under section 68A.303(1)(a) because the candidate will not receive a “direct financial benefit” from the transfer to t
A “charitable organization” means an organization that is described in section 501(c)(3) of the Internal Revenue Code that is exempt from taxation under sect
Because of the leeway provided to 501(c)(4) organizations with regard to participation in the political process, the Board reaffirms its previous advisory opini