MUR #7890
Service Tire Truck Center, Inc.Summary
RESPONDENTS: Service Tire Truck Center Inc.; Crosby, Caleb; Senate Leadership Fund
COMPLAINANTS: Campaign Legal Center; Fischer (CLC), Brendan M.
SUBJECT: Committees-PAC; Contributions-Prohibited; Other
DISPOSITION: The Commission failed by a vote of 3-3 to:
a. Dismiss the allegation that Service Tire Trucks Centers, Inc., violated 52 U.S.C. § 30119(a)(1) by making a prohibited federal contractor contribution as an act of prosecutorial discretion.
b. Find no reason to believe that Senate Leadership Fund and Caleb Crosby in his official capacity as treasurer violated 52 U.S.C. § 30119(a)(2) by knowingly soliciting a prohibited federal contractor contribution.
c. Approve the Factual and Legal Analysis, as recommended in the First General Counsel’s Report dated November 8, 2021.
d. Approve the appropriate letters.
e. Direct the Office of General Counsel to notify Senate Leadership Fund and Caleb Crosby, in his official capacity as treasurer, in a cover letter of the Commission’s determination that Service Tire Truck Centers, Inc. was a federal contractor at the time of the contribution.
f. Close the file.
The Commission failed by a vote of 3-3 to:
a. Dismiss the allegation that Service Tire Trucks Centers, Inc., violated 52 U.S.C. § 30119(a)(1) by making a prohibited federal contractor contribution as an act of prosecutorial discretion.
b. Find no reason to believe that Senate Leadership Fund and Caleb Crosby in his official capacity as treasurer violated 52 U.S.C. § 30119(a)(2) by knowingly soliciting a prohibited federal contractor contribution.
c. Approve the Factual and Legal Analysis, as recommended in the First General Counsel’s Report dated November 8, 2021, subject to the edits circulated by Commissioner Cooksey’s Office on January 9, 2022 at 8:46 p.m.
d. Approve the appropriate letters.
e. Close the file.
The Commission decided by a vote of 6-0 to:
a. Dismiss the allegation that Service Tire Trucks Centers, Inc., violated 52 U.S.C. § 30119(a)(1) by making a prohibited federal contractor contribution as an act of prosecutorial discretion.
b. Find no reason to believe that Senate Leadership Fund and Caleb Crosby in his official capacity as treasurer violated 52 U.S.C. § 30119(a)(2) by knowingly soliciting a prohibited federal contractor contribution.
c. Approve the appropriate letters.
d. Close the file.
Disposition
Disposition | Penalty | Respondent | Citation |
---|---|---|---|
Dismissed-Other | Service Tire Truck Center Inc. | 52 U.S.C. §30119(a)(1) | |
No RTB | Crosby, Caleb | 52 U.S.C. §30119(a)(2) | |
Senate Leadership Fund | 52 U.S.C. §30119(a)(2) |
Documents
Participants
Relationship | Name |
---|---|
Primary respondent | Service Tire Truck Center Inc. |
Previous respondent | Crosby, Caleb |
Senate Leadership Fund | |
Complainant | Campaign Legal Center |
Fischer (CLC), Brendan M. |