LTC 609-2017 Annual Holiday Gift Reminder to City CommissionMIAMIBEACH
OFFICE OF THE CITY ATTORNEY
LTC No. 609-2017 LETTER TO COMMISSION
TO: Mayor Dan Gelber and Members of the City Commission
FROM: Raul J. Aguila, City Attorney j ✓""
DATE: December 19, 2017
SUBJECT: Annual Holiday Gift Reminder to City Commission
During this holiday season, the issue of gift acceptance is particularly important
for members of the City Commission to keep in mind. As such, this LTC has been
prepared in order to provide brief explanation to the Mayor and City Colrnnnissioners of
the rules and restrictions applicable to City elected officials related to gift
solicitation/acceptance/disclosure. In view of the complexity of City, County and State
laws on topic and the intended generalized summation below of relevant gift rules, it is
recommended that specific questions on these matters be directed to me for analysis
and discussion.
1. WHAT IS A "GIFT".
A "gift" is anything received by you (directly or indirectly) for which you have not
provided equal consideration.
2. WHAT IS NOT A "GIFT". 1
• Political contributions specifically authorized by State law;
• Gifts from relatives or members of one's household;
• Awards for professional or civic achievement; and
• Material such as books, reports, periodicals or pamphlets which are solely
informational or of an advertising nature.
3. PROHIBITED ACTIVITIES RE: GIFT SOLICITATION/ACCEPTANCE.
SOLICITATION RESTRICTIONS:
• May not solicit any gifts based upon any understanding that your vote, official
action, or judgment as a public officer would be influenced thereby.
• May not solicit any gift from a Political Committee.2
See, Miami -Dade County Code, section 2-11.1(e)2.
2 NOTE: This gift prohibition expressly applies to elected officials as well as to members of their
immediate families. See, Florida Statute section 112.31485.
We are committed to providing excellent public service and safely to all who live, work, and play in our vibrant, tropical, his1wric immunity.
Letter to Commission — Annual Holiday Gift Reminder to City Commission
December 19, 2017
Page 2
• May only solicit a gift when done on behalf of the City it
your official duties for use solely by the City in conducting
• Solicitation also permissible if done by you or your staff
of any nonprofit organization for use solely by that
neither you or your staff receives any compensation
solicitation. a
the performance of
its official business.
members, on behalf
organization where
as a result of the
• Above instances of permissible solicitation may not be for the personal benefit
of you, or other designated CMB officials/employees, or for related members
of your/their immediate families.
PROHIBITED GIFTS—MAY NOT BE ACCEPTED:
• Any gifts based upon any understanding that your vote, official action, or
judgment as a public officer would be influenced thereby
• Gifts in excess of $100 from a vendor or lobbyist (including the partner, firm,
employer, or principal of a lobbyist).
• Travel -related expenses from a City vendor (subject to limited
exception/waiver by City Commission).
• Any gift from a Political Committee.5
4. PUBLIC DISCLOSURE OF ACCEPTED GIFTS:
• As a City elected official, you are required to file a statement6 with the State of
Florida Ethics Commission and with the Miami -Dade County Ethics
Commission, containing a list of gifts you accepted which exceed $100 in
value, for which compensation was not provided by you to the donor within 90
days of receipt of the gift to reduce the value to $100 or less.
• This disclosure statement must be filed not later than the last day of each
calendar quarter, for disclosure of gifts you received during the previous
calendar quarter.
• No disclosure statement need be filed if you have not received any gifts.
RJA/JO:mmm
Attachment
F:\ATT'O\AGUR\CITY ATTORNEY\LTC\2017\LTC Annual Holiday Gift Reminder 12-19-17-JO.docx
3 Members of the City Commission are required to file disclosure statements concerning their
solicitation activities on behalf of certain nonprofit entities. See, Miami -Dade County Code sections
12-14.2.1 and 12-14.2.2; and Miami Beach Code section 2-461.
4 "As used in this subsection, a 'nonprofit organization' shall mean any entity described in section
501(c)(3) of the Internal Revenue Code (the 'Code') that is tax exempt under section 501(a) of the
Code. As used in this subsection, 'compensation' means any money, gift, favor, political contribution,
thing of value or other financial benefit." Id
s See f.n.#2, above.
6 See attached State COE Form 9 (also available in the City Clerk's Office).
We are committed to providing excellent public service and safety to all who live, work, and play in our vibrant, tropical, historic community.
Form 9 QUARTERLY GIFT DISCLOSURE
(GIFTS OVER $100)
LAST NAME -- FIRST NAME -- MIDDLE NAME: NAME OF AGENCY:
MAILING ADDRESS: OFFICE OR POSITION HELD:
CITY: ZIP: COUNTY: FOR QUARTER ENDING (CHECK ONE): YEAR
❑MARCH ❑JUNE ❑SEPTEMBER ❑ DECEMBER 20_
PART A - STATEMENT OF GIFTS
Please list below each gift, the value of which you believe to exceed $100, accepted by you during the calendar quarter for which this statement is
being filed. You are required to describe the gift and state the monetary value of the gift, the name and address of the person making the gift, and the
date(s) the gift was received. If any of these facts, other than the gift description, are unknown or not applicable, you should so state on the form. As
explained more fully in the instructions on the reverse side of the form, you are not required to disclose gifts from relatives or certain other gifts. You
are not required to file this statement for any calendar quarter during which you did not receive a reportable gift.
DATE DESCRIPTION MONETARY NAME OF PERSON ADDRESS OF PERSON
RECEIVED OF GIFT VALUE MAKING THE GIFT MAKING THE GIFT
❑ CHECK HERE IF CONTINUED ON SEPARATE SHEET
PART B - RECEIPT PROVIDED BY PERSON MAKING THE GIFT
If any receipt for a gift listed above was provided to you by the person making the gift, you are required to attach a copy of that receipt to this
form. You may attach an explanation of any differences between the information disclosed on this form and the information on the receipt.
❑ CHECK HERE IFA RECEIPT IS ATTACHED TO THIS FORM
PART C - OATH
I, the person whose name appears at the beginning of this form, do STATE OF FLORIDA
COUNTY OF
depose on oath or affirmation and say that the information disclosed Sworn to (or affirmed) and subscribed before me this
day of 20
herein and on any attachments made by me constitutes a true accurate,
by
and total listing of all gifts required to be reported by Section 112.3148,
Florida Statutes. (Signature of Notary Public -State of Florida)
(Print, Type, or Stamp Commissioned Name of Notary Public)
SIGNATURE OF REPORTING OFFICIAL Personally Known OR Produced Identification
Type of Identification Produced
PART D - FILING INSTRUCTIONS
This form, when duly signed and notarized, must be filed with the Commission on Ethics, P.O. Drawer 15709, Tallahassee, Florida 32317-5709; physi-
cal address: 325 John Knox Road, Building E, Suite 200, Tallahassee, Florida 32303. The form must be filed no later than the last day of the calendar
quarter that follows the calendar quarter for which this form is filed (For example, if a gift is received in March, it should be disclosed by June 30.)
CE FORM 9- EFF. 1/2007 (Refer to Rule 34-7.010(1)(g), F.A.C.)(Rev. 6/2016) (See reverse side for instructions) 11�_
PART E - INSTRUCTIONS
WHO MUST FILE THIS FORM? flowers, or floral arrangements; services provided by persons pursuan
to a professional license or certificate; other personal services foi
• Any individual, including a candidate upon qualifying, who is required
by law to file full and public disclosure of his financial interests on
Commission on Ethics Form 6, except Judges. (See Form 6 for a list of
persons required to file that form.)
• Any individual, including a candidate upon qualifying, who is required
by law to file a statement of financial interests on Commission on Ethics
Form 1. (See Form 1 for a list of persons required to file that form.)
• Any procurement employee of the executive branch or judicial branch of
state government. This includes any employee of an officer, department,
board, commission, council, or agency of the executive branch or judicial
branch of state government who has participated in the preceding 12
months through decision, approval, disapproval, recommendation,
preparation of any part of a purchase request, influencing the content
of any specification or procurement standard, rendering of advice,
investigation, or auditing or in any other advisory capacity in the
procurement of contractual services or commodities as defined in s.
287.012, F.S., if the cost of such services or commodities exceeds or is
expected to exceed $10,000 in any fiscal year.
NOTE: Gifts that formerly were allowed under Section 112.3148,
F.S., now may be prohibited under Sections 11.045, 112.3215, and
112.31485, F.S.
WHAT GIFTS ARE REPORTABLE?
• Any gift (as defined below) you received which you believe to be in
excess of $100 in value, EXCEPT:
1) Gifts from the following RELATIVES: father, mother, son, daughter,
brother, sister, uncle, aunt, first cousin, nephew, niece, husband, wife,
father-in-law, mother-in-law, son-in-law, daughter-in-law, brother-in-
law, sister-in-law, stepfather, stepmother, stepson, stepdaughter,
stepbrother, stepsister, half brother, half sister, grandparent, great
grandparent, grandchild, great grandchild, step grandparent, step
great grandparent, step grandchild, step great grandchild, a person
who is engaged to be married to you or who otherwise holds himself
or herself out as or is generally known as the person whom you intend
to marry or with whom you intend to form a household, or any other
natural person having the same legal residence as you.
2) Gifts which you are prohibited from accepting by Sections 112.313(4)
and 112.3148(4), Florida Statutes. These include any gift which you
know or, with the exercise of reasonable care, should know was
given to influence a vote or other action in which you are expected
to participate in your official capacity; it also includes a gift worth
over $100 from a vendor doing business with your agency, a political
committee under the elections law, from a lobbyist who lobbies your
agency or who lobbied your agency within the past 12 months, or from
a partner, firm, employer, or principal of such a lobbyist.
3) Gifts worth over $100 for which there is a public purpose, given to
you by an entity of the legislative or judicial branch, a department
or commission of the executive branch, a water management
district created pursuant to s. 373.069, South Florida Regional
Transportation Authority, a county, a municipality, an airport authority,
or a school board; or a gift worth over $100 given to you by a direct -
support organization specifically authorized by law to support the
governmental agency of which you are an officer or employee. These
gifts must be disclosed on Form 10.
• A "gift" is defined to mean that which is accepted by you or by another
in your behalf, or that which is paid or given to another for or on behalf
of you, directly, indirectly, or in trust for your benefit or by any other
means, for which equal or greater consideration is not given within
90 days after receipt of the gift. A "gift" includes real property; the use
of real property; tangible or intangible personal property; the use of
tangible or intangible personal property; a preferential rate or terms
on a debt, loan, goods, or services, which rate is below the customary
rate and is not either a government rate available to all other similarly
situated government employees or officials or a rate which is available
to similarly situated members of the public by virtue of occupation,
affiliation, age, religion, sex, or national origin; forgiveness of an
indebtedness; transportation (unless provided to you by an agency
in relation to officially approved governmental business), lodging,
or parking; food or beverage; membership dues; entrance fees,
admission fees or tickets to events, performances, or facilities; plants,
CE FORM 9- EFF. 1/2007 (Refer to Rule 34-7.010(1)(g), F.A.C.)(Rev. 6/2016)
which a fee is normally charged by the person providing the services
and any other similar service or thing having an attributable value anc
not already described.
• The following are NOT reportable as gifts on this form: salary, benefits,
services, fees, commissions, gifts, or expenses associated primarily
with your employment, business, or service as an officer or director of
a corporation or organization; contributions or expenditures reported
pursuant to the election laws, campaign -related personal services
provided without compensation by individuals volunteering their time, or
any other contribution or expenditure by a political parry; an honorarium
or an expense related to an honorarium event paid to you or your
spouse; an award, plaque, certificate, or similar personalized item given
in recognition of your public, civic, charitable, or professional service; an
honorary membership in a service or fraternal organization presented
merely as a courtesy by such organization; the use of a governmental
agency's public facility or public property for a public purpose. Also
exempted are some gifts from state, regional, and national organizations
that promote the exchange of ideas between, or the professional
development of, governmental officials or employees.
HOW DO I DETERMINE THE VALUE OF A
GIFT?
• The value of a gift provided to you is determined using the actual cost to
the donor, and, with respect to personal services provided by the donor,
the reasonable and customary charge regularly charged for such service
in the community in which the service is provided. Taxes and gratuities
are not included in valuing a gift. If additional expenses are required as
a condition precedent to the donor's eligibility to purchase or provide a
gift and the expenses are primarily for the benefit of the donor or are of a
charitable nature, the expenses are not included in determining the value
of the gift.
• Compensation provided by you to the donor within 90 days of receiving
the gift shall be deducted from the value of the gift in determining the
value of the gift.
• If the actual gift value attributable to individual participants at an event
cannot be determined, the total costs should be prorated among all
invited persons. A gift given to several persons may be attributed among
all of them on a pro rata basis. Food, beverages, entertainment, etc.,
provided at a function for more than ten people should be valued by
dividing the total costs by the number of persons invited, unless the items
are purchased on a per -person basis, in which case the per -person cost
should be used.
• Transportation should be valued on a round-trip basis unless only one-
way transportation is provided. Round-trip transportation expenses
should be considered a single gift. Transportation provided in a private
conveyance should be given the same value as transportation provided
in a comparable commercial conveyance.
• Lodging provided on consecutive days should be considered a single
gift. Lodging in a private residence should be valued at $44 per night.
• Food and beverages consumed at a single sitting or event are a single
gift valued for that sitting or meal. Other food and beverages provided
on a calendar day are considered a single gift, with the total value of all
food and beverages provided on that date being the value of the gift.
• Membership dues paid to the same organization during any 12 -month
period are considered a single gift.
• Entrance fees, admission fees, or tickets are valued on the face value of
the ticket or fee, or on a daily or per event basis, whichever is greater. If
an admission ticket is given by a charitable organization, its value does not
include the portion of the cost that represents a contribution to that charity.
• Except as otherwise provided, a gift should be valued on a per
occurrence basis.
FOR MORE INFORMATION
The gift disclosures made on this form are required by Sec. 112.3148,
Florida Statutes. Questions may be addressed to the Commission
on Ethics, P.O. Drawer 15709, Tallahassee, Florida 32317-5709 or by
calling (850) 488-7864; information is provided at: www.ethics.state.fl.us.