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October 28 2020
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October 28 2020
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10/30/2020 2:55:55 PM
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HAWAII STATE ETHICS COMMISSION <br />1001 Bishop Street, Suite 970 1 Honolulu, Hawaii 96813 1 ethics@hawaiiethics.org 1 (808) 587-0460 1 Twitter: @HawaiiEthics <br />III III �� ............... I� III � ��� � IIIIIII� � III � III „� � � � �� � �' III' � ilu � � III III � III � CYN � � III' t� V � Uu III � III III <br />III � III°�w�� <br />SIM � lI III III III"" IIIA"�� IIS III � � III III ) III � III �� <br />................................................................................................................................................................................................................................................................. <br />�ResbiiJcbiioiii s oin Uisaiiiiri�g StateIII"t9:ea� liiirce,e foiiir III �r�6hiitiicdJ Caiiinlll dikjiii s <br />The Fair Treatment law of the State Ethics Code, Hawaii Revised Statutes ("HRS") § 84-13, prohibits state legislators, state <br />employees, and state board and commission members from using state resources for private business purposes, including <br />political campaign purposes. This includes the following: <br />State Time: State officials and employees may not conduct campaign related business during state work <br />hours, or use state personnel to perform campaign tasks or activities during state work hours. <br />State Position: State officials and employees may not use their official position to pressure others into <br />making campaign contributions, providing campaign assistance, or otherwise supporting a candidate. <br />State Facilities: State officials and employees may not solicit campaign donations or conduct campaign <br />business on state premises, including state offices and meeting rooms. State employees may not post <br />campaign signs in their state workplace. Additionally, state officials and employees may not allow candidates <br />to conduct "walk-throughs" of state agencies. State premises or facilities that are available for public use may <br />generally be used for campaign activities on the same terms that apply to the general public (for example, <br />renting a school cafeteria for a public meeting), though some facilities - like Washington Place - prohibit <br />campaign activities altogether. <br />4® State Equipment and Supplies: State officials and employees may not use state equipment (such as <br />telephones, copy machines, fax machines, computers, vehicles), or state supplies (such as copy paper, stamps, <br />and other office supplies) for campaign -related tasks or activities. <br />State Email Server: State officials and employees may not use their state email accounts to send <br />®campaign related emails, or respond to campaign emails received at a state account (other than to request that <br />the sender stop sending such emails). Political candidates should avoid sending campaign emails to any state <br />email address. <br />State Websites or Social Media Pages: State websites or official state social media pages cannot <br />contain campaign related materials, such as campaign logos or photos of people in campaign t -shirts. State <br />websites may not contain links to campaign websites. <br />State Newsletters: State newsletters cannot contain campaign materials, such as requests for donations <br />or the campaign's address/contact information. <br />State Seal: The State Seal generally may not be used on any campaign materials, as it gives the impression <br />�a that the State of Hawaii is endorsing a particular political candidate. Use of the State Seal in any advertisement <br />or in any manner likely to give the impression of official state approval is a misdemeanor. See HRS § 5-6. <br />State Funds: State funds may not be used to pay for campaign -related expenditures or activities, such <br />tickets to political fundraisers, campaign literature or signs, postage for campaign materials, food for campaign <br />events, or travel made principally for a political campaign. <br />
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