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Political Contributions Disclosure Requirements

Nossaman LLP

Compliance Notes, Vol. 6, Issue 15 - July 2025

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Campaign Finance & Lobbying Compliance Maine: A federal judge struck down Maine’s 2024 voter-approved law capping contributions to super PACs at $5,000 and requiring disclosure of all donors contributing to independent...more

Wiley Rein LLP

Donor Disclosure and Lobbying: What Companies, Trade Associations, and Advocacy Groups Need to Know

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In recent decades, states and localities have implemented increasingly complex lobbying laws that sometimes require groups to disclose their donors or members when registering to lobby. Unfortunately, while focusing their...more

McCarter & English, LLP

Compliance Note No. 13: Upcoming ELEC Filing Deadlines for Parties

As New Jersey state and county political parties set leadership following the Primary election in June, they should be mindful of upcoming filing deadlines for the Election Law Enforcement Commission, including the required...more

Holtzman Vogel Baran Torchinsky & Josefiak

Lobbying Disclosure Act ("LDA") Reports Due This Month

By: Jan Baran and Austin Graham July will be a big, beautiful and busy month for federal lobbyists. Two separate Lobbying Disclosure Act (LDA) filings are due later this month: quarterly lobbying reports (LD-2) for the second...more

Holtzman Vogel Baran Torchinsky & Josefiak

In-Compliance: Holtzman Vogel's April 2025 Recap

In Compliance: Holtzman Vogel's Monthly Round-Up In the April 2025 In-Compliance recap, we cover the following topics: President Trump Directs Attorney General to Investigate ActBlue - FEC Commissioner Allen...more

Buchalter

2025 Filing Requirements and Contribution Limits for California “Major Donors”

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Individuals and business or nonprofit entities–such as corporations, partnerships and LLCs– that do not receive political contributions (i.e., do not have a PAC), but only make such contributions to California state and...more

Skadden, Arps, Slate, Meagher & Flom LLP

FEC Announces New Federal Campaign Contribution Limits - January 2025

New federal campaign contribution limits have been announced by the Federal Election Commission (FEC). Per the requirements of the Bipartisan Campaign Reform Act of 2002, the FEC must adjust certain federal contribution...more

Skadden, Arps, Slate, Meagher & Flom LLP

Political Contribution Disclosure Rules in Illinois, Maryland, New Jersey, Pennsylvania, Philadelphia and Rhode Island - Update

The following summarizes periodic pay-to-play reporting requirements under laws in Illinois, Maryland, New Jersey, Pennsylvania, Philadelphia and Rhode Island. Certain companies must file reports regarding their business...more

Nossaman LLP

Federal Election Cycle Contribution Limits Increased for 2025-2026

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The Federal Election Commission (FEC) announced increased federal contribution limits for the 2025-2026 election cycle. Certain adjustments, indexed for inflation, are made in odd-numbered years only....more

Holtzman Vogel Baran Torchinsky & Josefiak

FEC Releases Increased Contribution Limits for the 2025-2026 Election Cycle

Today, the Federal Election Commission (“FEC”) released increased contribution limits for the 2025-2026 election cycle. The increased limits apply to contributions from individuals and non-multicandidate PACs to federal...more

Cooley LLP

What’s happening with political spending disclosure and accountability?

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In this fraught election season and just before tomorrow’s important election day, the Center for Political Accountability has released its annual study, The 2024 CPA-Zicklin Index of Corporate Political Disclosure and...more

Best Best & Krieger LLP

California Updates Levine Act “Pay to Play” Campaign Contribution Restrictions for 2025

Governor Newsom signed a bill on September 30 that will update the State’s “pay to play” campaign contribution law commonly known as the “Levine Act” starting on January 1, 2025. The Levine Act currently prohibits agency...more

Holtzman Vogel Baran Torchinsky & Josefiak

In Compliance: Holtzman Vogel's July 2024 Round-Up

Holtzman Vogel attorneys wrote on the Supreme Court's landmark Loper Bright decision earlier this month. The Court overruled its 1984 decision in Chevron v. NRDC that introduced the so-called "Chevron deference" principle...more

Wiley Rein LLP

Mitigating Political-Law Risk

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Staying informed, proactive, and compliant in your advocacy can help to avoid political law pitfalls this election year and in the future. Wiley's Mark Renaud provides guidance to navigate federal, state, and local...more

Venable LLP

Political Giving: A Primer for High-Net-Worth Individuals and Family Offices

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For many years, supporters of a candidate or a cause simply wrote a check and asked friends and colleagues to do the same. But the opportunities to influence elections and public policy have evolved significantly, allowing...more

Venable LLP

Changes to Maryland Pay-to-Play Law Will Expand Reporting Obligations, Boost Public Scrutiny of State Public Contractors

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Starting this July, Maryland’s “pay-to-play” law, which requires public contractors to file campaign contribution disclosure reports with the State Board of Elections, will require for the first time that local government...more

Cooley LLP

Can companies escape the trap of politics?

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We hear a lot about companies taking public positions on political issues—as well as the backlash that many experience as a result. Whether you think corporate participation in politics is a good thing or a bad thing, you...more

Wiley Rein LLP

New Jersey Annual Pay-to-Play Report due April 1

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Despite major “reforms” to New Jersey’s pay-to-play laws in 2023, certain state and local government contractors doing business in New Jersey still must file the Business Entity Annual Disclosure Statement by April 1, 2024....more

Skadden, Arps, Slate, Meagher & Flom LLP

Reminder: New Jersey Pay-to-Play Form BE Due April 1, 2024

The annual filing for state and local contractors required under New Jersey Chapter 271 (Form BE) is due April 1, 2024. As we have described in previous mailings, this report must be filed by a business entity if it received...more

Holtzman Vogel Baran Torchinsky & Josefiak

In Compliance: Holtzman Vogel's February 2024 Round-up

The FCC issued a Declaratory Ruling on February 8 to ensure that telephone calls that use artificial intelligence (AI) to generate or mimic human voices are treated as “robocalls” for purposes of the Telephone Consumer...more

Cooley LLP

Center for Political Accountability introduces Guide to Model Code

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In 2020, the Center for Political Accountability introduced the CPA-Zicklin Model Code of Conduct for Corporate Political Spending, designed to provide a “thorough and ethical framework” for corporate political spending. The...more

Skadden, Arps, Slate, Meagher & Flom LLP

The Informed Board - Winter 2024

The oversight obligations of boards continue to expand. Recent enforcement actions and new laws in areas such as cybersecurity, artificial intelligence and supply chains create new challenges for boards, as we explain in this...more

Skadden, Arps, Slate, Meagher & Flom LLP

Political Contribution Disclosure Rules in Illinois, Maryland, New Jersey, Pennsylvania, Philadelphia and Rhode Island

The following summarizes periodic pay-to-play reporting requirements under laws in Illinois, Maryland, New Jersey, Pennsylvania, Philadelphia and Rhode Island. Certain companies must file reports regarding their business...more

Cooley LLP

Center for Political Accountability provides guidance on challenges of corporate political spending

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As we begin this new year—a highly charged election year—it might be helpful to check out the Guide to Corporate Political Spending produced by the non-partisan Center for Political Accountability. The Guide, released last...more

Nossaman LLP

Compliance Notes - Vol. 4, Issue 50

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Welcome to Compliance Notes from Nossaman’s Government Relations & Regulation Group – a periodic digest of the headlines, statutory and regulatory changes and court cases involving campaign finance, lobbying compliance,...more

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