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the acceptance or receipt of a "gift" in any form under circumstances in <br />which it can reasonably be inferred that the gift is intended to influence <br />the person in the performance of the person's official duties, it may be <br />subject to disclosure pursuant to Section 2- 91.5." <br />That's Mr. Gimpel's comments. <br />SC: I wonder if he's saying then, that if these flyers were distributed and <br />somebody wanted to take advantage of this particular offer, that they <br />should file a financial disclosure? <br />CHAIR: No, I think what he's saying is that if the flyers are distributed by <br />Mr. Levin and ... <br />SC: I'm sorry... <br />CHAIR: Pardon? <br />SC: I'm sorry, I didn't mean financial disclosure, I meant a gift disclosure. <br />CHAIR: Oh, and Mr. Levin distributes this and then receives a gift from this... <br />SC: I see... <br />CHAIR: At that time, he would have to get a disclosure which would have to be <br />filed. <br />SC: Okay. I agree with Joel then. <br />CHAIR: Do I have a motion to... <br />KI: Before we go to that... actually I think this whole thing is moot, `cause <br />of this date, it says, "Offer good through June 30, 2003" on the very, <br />very bottom of this page. <br />SC: You're absolutely correct. Unless it's been extended. <br />KI: Yeah. <br />BLT: Mr. Chairman, if I might offer some insight. Mr. Levin is asking <br />because it's not just the AT &T offer. Periodically, they do get <br />information from various businesses. It could be Verizon, it could be <br />somebody else, where they have a special rate for government <br />employees. And the question was, whether it was a violation of the <br />ethics code for him to disseminate that information to employees that <br />there are these plans available. <br />4 <br />