Shaun Scott

The Fighting 43rd and Shaun Scott: Alleged violations of RCW 42.17A.235, RCW 42.17A.240, WAC 390-16-042, WAC 390-16-205, and WAC 390-16-043; RCW 42.17A.320 and WAC 390-18-010; and RCW 42.17A.445 and WAC 390-16-238 (EY24 JUN 24)

Case Details

Case Number

155771

Respondent

Shaun Scott

Complainant

Conner Edwards

Date Opened

June 24, 2024

Case Status

Violation Found by Commission

Commission or presiding officer heard case and found violation.

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Area(s) of Law*

  • RCW 29B.25.090/42.17A.235
  • RCW 29B.25.100/42.17A.240
  • RCW 29B.30.050/42.17A.320
  • RCW 29B.40.130/42.17A.445
  • WAC 390-16-042
  • WAC 390-16-043
  • WAC 390-16-205
  • WAC 390-16-238
  • WAC 390-18-010

*On January 1, 2026, RCW 42.17A was recodified to RCW 29B

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Description

The Commission heard the case against the Respondent on July 24. 2025.  The hearing concerned allegations that the Respondent violated RCW 42.17A.235 and .240, and WAC 390-16-042, WAC 390-16-205, and WAC 390-16-043 by reporting incomplete or inaccurate information on pre-primary Cash Receipts, Monetary Contribution (C-3) and receipts and Expenditure Summary (C-4) reports and failing to timely file mandatory 21-day, 7- day, and post-primary C-4 reports; failing to timely file mandatory 21-day and 7-day pre-general reports; failing to timely and accurately report debt and receipt of contributions; and by failing to provide campaign books of account for inspection. It was further alleged that during election year 2024, the Committee 
violated RCW 42.17A.320 and WAC 390-18-010 by failing to include complete sponsor identification on political advertisements; failing to conform to formatting requirements; and using an assumed name for the sponsor identification.  As to Mr. Scott personally, he is alleged to have violated RCW 42.17A.445 and WAC 390-16-238 by expending campaign funds for impermissible personal use.

The parties jointly submitted a signed Stipulation as to Facts and Violations, (Stipulation). Ms. Giles-Klein presented the Stipulation, reviewed the aggravating and mitigating factors, summarized the facts and asked the Commission to accept the Stipulation. Mr. Scott was available for questions and confirmed the information provided by Ms. Giles-Klein. The Respondent took responsibility and asked the Commission to accept the Stipulation. The Commission voted 4-0 to accept the Stipulation as submitted.

Based upon the stipulated Findings of Fact and the Commission’s Conclusions of Law, the Commission accepts the agreed Stipulation of the parties as to Facts and Violations. After review of the mitigating and aggravating factors and consideration of the arguments and exhibits presented at hearing, the Commission assesses an aggregate civil penalty on Respondent TheFighting 43rd of $10,000 with $5,000 suspended.  In addition, the Commission assesses a civil penalty on Respondent Shaun Scott of $1,000 with $500 suspended.

Penalties

$11,000

Total Penalties

$0

Balance Due

Penalty

$1,000 (Penalty for impermissible use of campaign funds)

Suspended

$500 (Reimbursement to 2024 campaign of $756 w/in 90days; pays non-suspended amount w/in 90 days; and remains in full compliance for four years.)

Payments

  • $500 on 10/10/2025 (PAID - PENALTY)

Penalty

$10,000 (2024 violations of RCW 42.17A.235, RCW 42.17A.240, WAC 390-16-042, WAC 390-16-205, and WAC 390-16-043; RCW 42.17A.320 and WAC 390-18-010)

Suspended

$5,000 (Payment w/in 90 days of non-suspended amt. and remains in full compliance for four years)

Payments

  • $5,000 on 10/10/2025 (PAID - PENALTY)