[EL] "Can Super PAC Which Avoids Express Advocacy Coordinate with Presidential Campaign?"

brett.kappel at akerman.com brett.kappel at akerman.com
Tue May 12 14:15:30 PDT 2015


It should be noted that the FEC coordination rules apply to more than just what the general public would consider "paid media".  The content prong applies to any public communication that contains express advocacy. 11 C.F.R. 109.21(c)(3).  Public communications include mass mailings and telephone banks as well as broadcast and print ads. 11 C.F.R. 100.26, 100.27 and 100.28.


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From: law-election-bounces at department-lists.uci.edu [mailto:law-election-bounces at department-lists.uci.edu] On Behalf Of Rick Hasen
Sent: Tuesday, May 12, 2015 4:55 PM
To: law-election at department-lists.uci.edu
Subject: Re: [EL] "Can Super PAC Which Avoids Express Advocacy Coordinate with Presidential Campaign?"

http://correctrecord.org/correct-the-record-launches-as-new-pro-clinton-superpac/

" Correct The Record, though a SuperPac, will not be engaged in paid media and thus will be allowed to coordinate with campaigns and Party Committees."
On 5/12/15 1:27 PM, Rick Hasen wrote:
This is very helpful, thanks.  I understand that the group is stating it will do no paid media, and therefore there are no issues with coordination.

If others disagree with Eric's interpretation, I'd like to hear about it.

Thanks.

On 5/12/15 1:06 PM, Eric Wang wrote:
http://electionlawblog.org/?p=72403

Regarding Rick's question about the Correct the Record super PAC, which, according to the NYT piece, purports to be able to coordinate with the Clinton campaign by avoiding express advocacy independent expenditures: Theoretically, a super PAC could interact with super PACs and not run afoul of the coordinated communications regulations at 11 C.F.R. 109.21 if it avoids any of the content standards at 109.21(c).

Indeed, we are all familiar by now with federal candidates who raise money for super PACs within the federal limits, as blessed by the FEC in AO 2011-12 (Majority PAC / House Majority PAC) (a unanimous decision, by the way). In the layman's sense, when candidates appear at super PAC functions, they are "coordinating" with the super PACs.  The question then becomes whether such "coordination" is prohibited under 11 C.F.R. 109.20, and how broadly that general coordination regulation is to be read.  Candidate appearances at super PAC functions could be said to be "made in cooperation, consultation or concert with" the candidate.  See 11 C.F.R. 109.20(a).  But the crucial question is whether such transactions result in an "expenditure," which is the second part of the regulation.  See id. 109.20(b).  Arguably, if the activity is not for an express advocacy "expenditure," then it also would not fall under the general coordination rule at 109.20.

While the statute defines an "expenditure" generally as anything "for the purpose of influencing any election for federal office," 52 U.S.C. 30101(9)(A)(i), the Supreme Court greatly limited the scope of that term in Buckley.  Without such a limitation, the FEC could not have reached the conclusion it did in AO 2011-12 consistent with 11 C.F.R. 109.20.  Indeed, if that regulation were read more broadly, it would shut down many non-election-related issue/policy-related interactions between advocacy groups and politicians.

- Eric Wang






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Rick Hasen

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