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This letter serves as a follow up to the December 1,2021 "Complaint regarding Conflict of <br /> Interest by City Councilwoman Thai Phan"(the "Complaint"). The facts and allegations stated in the <br /> Complaint are incorporated herein. <br /> As a member of the Santa Ana City Council("City Council"),Ms. Phan is prohibited by <br /> Government Code Section 87100 of the Political Reform Act of 1974(the"PRA"or the "Act") from <br /> making,participating in making,or attempting to use her official position to influence any governmental <br /> decision in which she knew,or had reason to know, she had a financial interest.By making governmental <br /> decisions in which she had a financial interest,Ms. Phan violated Government Code Section 87100. The <br /> only acceptable remedy is for the City Council to formally rescind its November 16,2021 approval of the <br /> Housing Opportunity Ordinance ("HOO")and convene a new vote among eligible,non-conflicted <br /> members of the City Council. <br /> I. Introduction to the Law <br /> When the PRA was enacted,the people of the state of California found and declared that previous <br /> laws regulating political practices suffered from inadequate enforcement by state and local authorities. <br /> (Government Code § 81001(h).)Government Code Section 81003 requires that the Act be"liberally <br /> construed to accomplish its purposes."As such,the Act sets the floor,but not the ceiling, for the conduct <br /> of public officials. <br /> The goal of the State's conflict-of-interest laws is to promote public confidence in public <br /> agencies. The Act is intended to ensure that"[p]ublic officials,whether elected or appointed . . .perform <br /> their duties in an impartial manner,free from bias caused by their own financial interests or the financial <br /> interests of persons who have supported them[.]"(Government Code § 81001(b).) <br /> Section 87100 prohibits public officials from making,participating in making,or attempting to <br /> use their official positions to influence any governmental decision in which they knew,or have reason to <br /> know,they have a financial interest.A public official has a financial interest in a decision if it is <br /> reasonably foreseeable that the decision will have a"material financial effect"on a recognized economic <br /> interest of the official. (Government Code § 87103.) <br /> An analysis on this issue requires six steps to determine whether a public official has a conflict of <br /> interest in a governmental decision.' That analysis follows: <br /> 1. The public official must be one as defined in the Act. <br /> Government Code Section 82048 defines"[p]ublic official"to mean every member of a"local <br /> government agency." Government Code Section 82041 defines"[1]ocal government agency"to include a <br /> city council,which is "any department,division,bureau,office,board,commission or other agency"of a <br /> City. <br /> 2. The public official must make,participate in making,or attempt to use their official position <br /> to influence a governmental decision. <br /> A public official"makes a governmental decision"when the public official votes on a matter. <br /> (Regulation § 18704(a).) <br /> ' The Public Generally Exception (Regulations § 18703(a))does not appear to apply here,nor does the <br /> Legally Required Participation Exception(Government Code § 87101). <br /> 1 <br />