(a)
Any person or group that receives contributions from others of $2,000 or more to make expenditures in California must register as a committee and file campaign reports under Section
82013
and the Act. In addition, a multipurpose organization making political expenditures in California that qualifies as a committee pursuant to Section
84222
must file a statement of organization and campaign reports to disclose the funds that it used for the political expenditures and the sources of those funds.
(b)
Statement of Organization.
(1)
Multipurpose Organization Committee Name. A multipurpose organization committee's name must be the full legal name of the organization. Pursuant to Section
84222
(e)(1)(A)
, a multipurpose organization filing a statement of organization must indicate in its committee name that it is filing under Section
84222
by including one of the following descriptions in parentheses after its name:
(i)
For a non-profit tax-exempt organization include "nonprofit 501(c)( )" specifying the type of nonprofit tax-exempt organization from Internal Revenue Code Section
501
(c)(3)-(10)
;
(ii)
For a federal or out-of-state political committee, include "Fed PAC ID #" or the two letter state abbreviation such as "TX PAC ID #"; or
(iii)
For any other type of multipurpose organization, include "multipurpose organization" or "MPO." This description must appear at the end of the committee's name in parentheses on the committee's statement of organization and campaign reports. Notwithstanding any other provision of the Act or Commission regulations, this description is not required to be included in the committee's name on advertisements, communications, sender identification, or disclaimers.
(2)
The statement of organization shall also describe the multipurpose organization's mission or most significant activities and describe the organization's political activities. This description shall include all activities undertaken for the purpose of directly or indirectly supporting or opposing state or local candidates for elective office; or qualifying, supporting, or opposing a state or local ballot measure whether or not a candidate is elected or defeated, or a measure qualifies, passes, or is defeated. An organization may comply with this requirement by referencing where the organization's Internal Revenue Service Return of Organization Exempt From Income Tax form may be accessed.
(3)
Calendar Year Filers. A multipurpose organization that becomes a committee subject to Section
84222
(c)(5)
whose reporting obligations terminate automatically each year as specified in Section
84222
(e)(1)(B)
, must indicate its committee status to the filing officer when it files its statement of organization, in the manner provided on the instructions to Form 410. If such a multipurpose organization elects to remain registered as a committee beyond the calendar year, it may do so by stating its election to remain registered on the initial statement of organization or on an amendment to the statement of organization filed before the end of the calendar year. If a multipurpose organization whose registration terminated automatically in one year qualifies as a committee again in a subsequent year, the organization must use the same committee identification number the Secretary of State previously assigned.
(c)
Reporting.
(1)
Multipurpose Organizations under Section
84222
(c)(1)
. A federal or out-of-state political committee required to register in California because it is making expenditures on California candidates or measures reports as specified in Section
84222
(d)
. Such committees are required to send major donor notices and expedited nonprofit filer notices as required by Section
84105
, Regulation 18427.1, and subdivisions (d) and (e) of this regulation, when applicable. A federal political committee must determine to whom to send notices by referring to the most recent donors identified on its federal reports prior to the date of its expenditure in California.
(2)
Multipurpose Organizations under Section
84222
(c)(2), (3), or (4)
. A multipurpose organization required to register as a committee under Section
84222
(c)(2), (3) or (4)
must follow the same reporting requirements that apply to a recipient committee under Section
82013
(a)
. Such committees are required to send major donor notices and expedited nonprofit filer notices as required by Section
84105
, Regulation 18427.1, and subdivisions (d) and (e) of this regulation, when applicable.
(3)
Multipurpose Organizations under Section
84222
(c)(5)
.
(A)
Identifying Contributors. An organization that makes a contribution or expenditure qualifying it as a committee required to report donors under Section
84222
(c)(5)
, must identify contributors using the last in, first out (LIFO) accounting method by the following times:
(i)
During the 90 days prior to an election, within three business days following the contribution or earlier if required for a report under Section
84204
.
(ii)
At all other times, within 10 business days following each contribution or expenditure.
Donations to multipurpose organizations that are reported based on the LIFO accounting method must be disclosed listing the date contributions were received as the date of the expenditure made by the multipurpose organization.
(B)
Employer Information. If the employer and occupation information cannot be obtained, the report must provide an explanation of the organization's attempts to obtain the information.
(C)
Remaining Balance. If a multipurpose organization that makes a contribution or an expenditure from its general treasury is required to identify additional donors because those described in Section
84222
(e)(1)(C)
did not provide the full amount of the contribution or expenditure, the organization must attribute the remaining balance of the contribution or expenditure to itself.
(4)
Description of Nondonor Funds. A multipurpose organization that makes contributions or expenditures using nondonor funds shall describe the source of those nondonor funds on its campaign report or statement for the relevant period. This description shall include the following:
(A)
The type of nondonor funds used, namely whether the funds are: investment income, including from capital gains; net income earned from providing goods, services, or facilities, whether related or unrelated to the multipurpose organization's program; sale of assets; or other receipts that are not donations, including but not limited to income received from advertisements, promotions, tributes, royalties, rents, or leases; and
(B)
Identification of the source of the nondonor funds including but not limited to: the name of the entity where an income producing investment is or was held; the type of goods, services or facilities provided (including the location of facilities); and identifying information for assets sold. Where there are multiple sources of income from any of the foregoing types of income, each source shall be identified separately.
(d)
Major Donor Notices. If a multipurpose organization identifies contributors who meet the major donor notice thresholds of Section
84105
and Regulation 18427.1, the organization must send the contributors a major donor notice informing them that they may be required to file campaign statements. The organization must send major donor notices to contributors within the one or two week time frames specified in Section
84105
following the date the organization receives the contributions and identifies the contributors by the LIFO accounting method under paragraph (c).
(e)
Multi-Layer Reporting.
(1)
Funds Moving from One Multipurpose Organization to Another. To obtain disclosure of the original sources of funds used by a multipurpose organization for political expenditures, under Section
84222
(e)(5)
, if a multipurpose organization identifies another multipurpose organization as a source of funds, and the contributing organization qualifies as a committee, the contributing organization may be required to file expedited campaign statements disclosing its donors, if applicable.
(2)
Expedited Notice. If a multipurpose organization identifies a contributor of more than $50,000 that is itself a multipurpose organization, the recipient organization must send a "nonprofit filer notice" to the contributing organization stating that it may be required to register and file expedited campaign statements disclosing its donors, if applicable. The "nonprofit filer" notice must be provided within 24 hours of when the recipient organization identifies the contributor, during the 90-day period before an election and within ten business days outside that period. The recipient organization must send the contributing organization notice by electronic mail, overnight delivery, or facsimile, and must maintain a record of all notices sent. The nonprofit filer notice must contain the language of the major donor notice specified in Regulation 18427.1 paragraph (a)(2), and at the beginning, must contain the following language or substantially similar language:
The Political Reform Act requires disclosure of the source of donor funds used for political expenditures and tracks back to the original donors when funds are contributed by one multipurpose organization to another. Your organization was identified as a contributor of more than $50,000 in funds that our organization used for political expenditures. Therefore, your organization may qualify as a committee under Government Code Section
84222
and Fair Political Practices Commission (FPPC) Regulation 18422, contained in Title 2, Division 6 of the California Code of Regulations, that is required to register with the Secretary of State on FPPC Form 410 and file expedited reports on FPPC Form 460 disclosing donors for such funds within three business days during the 90 days before an election or within 10 business days at all other times.
(3)
Expedited Filing. A multipurpose organization identified as a contributor that qualifies as a recipient committee under Section
84222
(c)
(the contributing organization) must register and file campaign statements of its own, disclosing its donors, if applicable. The multipurpose organization qualifies as a committee on the date it knows or has reason to know that it met the qualification thresholds of Section
84222
(c)
by receiving the "nonprofit filer notice" referred to in paragraph (2) above, receiving a major donor notice pursuant to Section
84105
and Regulation 18427.1, or being otherwise put on notice. The contributing multipurpose organization must file a statement of organization and an initial campaign statement on Form 460 within three business days during the 90 days before an election, and within 10 business days at all other times.
Source
1. New section filed 8-7-2014; operative 8-29-2014 pursuant to section
18312
(e)(1)(A)
, title 2, California Code of Regulations. Submitted to OAL for filing and printing only pursuant to Fair Political Practices Commission v. Office of Administrative Law, 3 Civil C010924, California Court of Appeal, Third Appellate District, nonpublished decision, April 27, 1992 (FPPC regulations only subject to 1974 Administrative Procedure Act rulemaking requirements and not subject to procedural or substantive review by OAL) (Register 2014, No. 32).
2. Amendment filed 10-19-2015; operative 11-18-2015. Submitted to OAL for filing and printing only pursuant to Fair Political Practices Commission v. Office of Administrative Law, 3 Civil C010924, California Court of Appeal, Third Appellate District, nonpublished decision, April 27, 1992 (FPPC regulations only subject to 1974 Administrative Procedure Act rulemaking requirements and not subject to procedural or substantive review by OAL) (Register 2015, No. 43).
3. Change without regulatory effect amending subsection (a) and NOTE filed 3-22-2016; operative 4-21-2016 pursuant to
2 CCR
18312
(e)
. Submitted to OAL for filing pursuant to Fair Political Practices Commission v. Office of Administrative Law, 3 Civil C010924, California Court of Appeal, Third Appellate District, nonpublished decision, April 27, 1992 (FPPC regulations only subject to 1974 Administrative Procedure Act rulemaking requirements and not subject to procedural or substantive review by OAL) (Register 2016, No. 13).
4. New subsection (b)(2), subsection renumbering, new subsections (c)(4)-(c)(4)(B) and repealer of subsection (f) filed 10-23-2019; operative 11-22-2019 pursuant to Cal. Code Regs., tit. 2, section
18312
(e)
. Submitted to OAL for filing pursuant to Fair Political Practices Commission v. Office of Administrative Law, 3 Civil C010924, California Court of Appeal, Third Appellate District, nonpublished decision, April 27, 1992 (FPPC regulations only subject to 1974 Administrative Procedure Act rulemaking requirements and not subject to procedural or substantive review by OAL) (Register 2019, No. 43).
History
1. New section filed 8-7-2014; operative
8/29/2014
pursuant to section 18312(e)(1)(A), title 2, California Code of Regulations. Submitted to OAL for filing and printing only pursuant to Fair Political Practices Commission v. Office of Administrative Law, 3 Civil C010924, California Court of Appeal, Third Appellate District, nonpublished decision, April 27, 1992 (FPPC regulations only subject to 1974 Administrative Procedure Act rulemaking requirements and not subject to procedural or substantive review by OAL) (
Register 2014, No. 32
).
2. Amendment filed 10-19-2015; operative
11/18/2015
. Submitted to OAL for filing and printing only pursuant to Fair Political Practices Commission v. Office of Administrative Law, 3 Civil C010924, California Court of Appeal, Third Appellate District, nonpublished decision, April 27, 1992 (FPPC regulations only subject to 1974 Administrative Procedure Act rulemaking requirements and not subject to procedural or substantive review by OAL) (
Register 2015, No. 43
).
3. Change without regulatory effect amending subsection (a) and Note filed 3-22-2016; operative
4/21/2016
pursuant to 2 CCR 18312(e). Submitted to OAL for filing pursuant to Fair Political Practices Commission v. Office of Administrative Law, 3 Civil C010924, California Court of Appeal, Third Appellate District, nonpublished decision, April 27, 1992 (FPPC regulations only subject to 1974 Administrative Procedure Act rulemaking requirements and not subject to procedural or substantive review by OAL) (
Register 2016, No. 13
).
4.New subsection (b)(2), subsection renumbering, new subsections (c)(4)-(c)(4)(B) and repealer of subsection (f) filed 10-23-2019; operative
11/22/2019
pursuant to Cal. Code Regs., tit. 2, section
18312
(e)
. Submitted to OAL for filing pursuant to Fair Political Practices Commission v. Office of Administrative Law, 3 Civil C010924, California Court of Appeal, Third Appellate District, nonpublished decision, April 27, 1992 (FPPC regulations only subject to 1974 Administrative Procedure Act rulemaking requirements and not subject to procedural or substantive review by OAL) (
Register 2019, No. 43
).