This is part of an ongoing effort to add advisory opinions related to political activity as background material. These opinions may cover topics beyond the scope of Regulation 8, and/or may also be impacted by changes to the Charter and resulting amendments to Regulation 8. These opinions are provided here for reference purposes only.
GC Opinion 2012-512 addresses the application of the political activity rules apply to a City employee who was a candidate for elective office and wants to raise funds to cover campaign-related debts.
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