MUR #6859
MOOLENAAR FOR CONGRESS, ET ALSummary
RESPONDENTS: Moolenaar for Congress; Friends of John Moolenaar (State Cmte); Lang, Gwen D.; Moolenaar, John; Stategic National Campaign Management LLC; Value for Michigan; Yob, John Patrick
COMPLAINANTS: Timmer, Jeff; Paul Mitchell for Congress
SUBJECT: Reporting; Soft Money
DISPOSITION: The Commission decided by a vote of 6-0 to take the following actions in MUR 6859: 1. Find no reason to believe that Friends of John Moolenaar and Gwen D. Lang in her official capacity as treasurer violated 52 U.S.C. § 30125(e)(1)(A)) (formerly 2 U.S.C. § 441i(e)(1)(A)); and 11 C.F.R. § 110.3(d) by making impermissible transfers to Moolenaar for Congress. 2. Find no reason to believe that Moolenaar for Congress and Gwen D. Lang in her official capacity as treasurer violated 52 U.S.C. § 30125(e)(1)(A) (formerly 2 U.S.C. § 441i(e)(1)(A)); and 11 C.F.R. § 110.3(d) by accepting impermissible transfers from Friends of John Moolenaar. 3. Find no reason to believe that Moolenaar for Congress and Gwen D. Lang in her official capacity as treasurer violated 52 U.S.C. § 3104(b) (formerly 2 U.S.C. § 434(b)). 4. Find no reason to believe that John Moolenaar violated 52 U.S.C. § 30125(e)(1)(A) and (formerly 2 U.S.C. § 441i(e)(1)(A)); and 11 C.F.R. § 110.3(d). 5. Find no reason to believe that Value for Michigan and John Yob in his official capacity as treasurer violated the Act in connection with the allegations in this matter. 6. Find no reason to believe that John P. Yob violated the Act in connection with the allegations in this matter. 7. Find no reason to believe that Strategic National Campaign Management LLC violated the Act in connection with the allegations in this matter. 8. Approve the Factual and Legal Analysis, as recommended in the First General Counsel's Report dated March 6, 2015, subject to the edits circulated via email by the office of Chair Ravel.9 . Approve the appropriate letters. 10. Close the file.
Disposition
| Disposition | Penalty | Respondent | Citation |
|---|---|---|---|
| No Reason to Believe | Moolenaar for Congress |
52
U.S.C.
§30125(e)(1)(A)
2 U.S.C. §3104(b) 11 CFR 110.3(d) |
|
| Lang, Gwen D. |
52
U.S.C.
§30125(e)(1)(A)
2 U.S.C. §3104(b) 11 CFR 110.3(d) |
||
| Friends of John Moolenaar (State Cmte) |
52
U.S.C.
§30125(e)(1)(A)
11 CFR 110.3(d) |
||
| Value for Michigan | |||
| Yob, John Patrick | |||
| Stategic National Campaign Management LLC | |||
| Moolenaar, John |
52
U.S.C.
§30125(e)(1)(A)
11 CFR 110.3(d) |
Documents
Participants
| Relationship | Name |
|---|---|
| Primary respondent | Moolenaar for Congress |
| Previous respondent | Friends of John Moolenaar (State Cmte) |
| Lang, Gwen D. | |
| Moolenaar, John | |
| Stategic National Campaign Management LLC | |
| Value for Michigan | |
| Yob, John Patrick | |
| Complainant | Paul Mitchell for Congress |
| Timmer, Jeff | |
| Respondent's counsel | Cumings, Troy M. |