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<br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br /> <br />January 24, 2014 <br /> <br /> <br />Ryan Hodge, Assistant City Attorney <br />Office of the City Attorney <br />20 Civic Center Plaza, P.O. Box 1988 <br />Santa Ana, California 92702 <br /> <br />Re: Your Request for Advice <br /> Our File No. C-14-012 <br /> <br />Dear Mr. Hodge: <br /> <br />This letter responds to your request for advice regarding the conflicts-of-interest <br />1 <br />provisions under Government Code section 1090 et seq. Because the Fair Political Practices <br />In re <br />Oglesby (1975) 1 FPPC Ops. 71), this letter is based on the facts presented. <br /> <br />Please note that after forwarding <br />, we did not receive a written response from either entity. <br />(See Section 1097.1(c)(4).) Finally, we are required to advise you that the following advice is <br />not admissible in a criminal proceeding against any individual other than the requestor. (See <br />Section 1097.1(c)(5).) <br /> <br />QUESTION <br /> <br />Does the exception to Section 1a <br />2 <br />Santa Ana City Councilmember to enter into a Mills Act contract with the City of Santa Ana? <br /> <br />CONCLUSION <br /> <br /> No. The exception to S <br />permit a Santa Ana City Councilmember to enter into a Mills Act contract with the City of Santa <br />Ana. <br /> <br /> <br /> <br />1 <br /> All further statutory references are to the Government Code, unless otherwise indicated. <br /> <br />2 <br /> The Mills Act is located in Section 50280 et seq. <br /> <br />