Guidelines & Restrictions
Ensure you’re compliant with state political disclosure law, whether you’re a candidate, political committee, lobbyist, or an elected or appointed official.
Ensure you’re compliant with state political disclosure law, whether you’re a candidate, political committee, lobbyist, or an elected or appointed official.
These guidelines are distilled from the requirements in RCW 42.17A and WAC 390. Care has been taken to ensure the guidelines are accurate and concise. Nevertheless, they do not take the place of local, state, or federal laws.
Filter by audience for reporting guidelines and restrictions relevant to you or your interest area. Filter by interpretations or declaratory orders to see the Commission’s statements on how the law applies in certain situations.
Title | Type of Guideline | Audience(s) | Topic |
---|---|---|---|
A Printing Company Is A Commercial Advertiser A printing company is a commercial advertiser pursuant to RCW 42.17A.005 when the service it sells is that of communicating or producing messages for the general public or segment thereof. [Declaratory Order No. 9, issued July 28, 1992] |
Declaratory Order | All | Political Advertising |
Affiliation | General | Candidates, Political Committees, Out-of-State Political Committees, Incidental Committees | Campaign Contributions, Contribution Limits, Registration |
Allowable Uses of Campaign Funds | General | Candidates, Political Committees | Campaign Expenditures |
Anonymous Contributions | General | Candidates, Political Committees | Campaign Contributions |
Campaign Loans | Commission Interpretation | Candidates, Political Committees | Campaign Loans |
Campaign Loans & Loan Agreements | Commission Interpretation | Candidates, Political Committees | Campaign Loans |
Candidate Loan Repayments | General | Candidates | Campaign Loans |
Charging for Endorsement or Media Coverage Charging money for an endorsement or media coverage is illegal. |
General | Candidates, Political Committees | |
Commercial Advertiser Disclosure Guide Any member of the public can request information about a political advertisement from the company that provided the advertising. These companies are referred to as “commercial advertisers” in state law. |
General | All, Voters & the Public | Political Advertising |
Committee Seeking Creation Of New County A committee which has been formed for the purpose of creating a new county, solicits contributions for their activities and is engaged in a campaign to obtain the required number of signatures on the petitions to be presented to the Legislature for the formation of the new county is a sponsor of a 'grass roots lobbying campaign' and therefore must file reports pursuant to RCW 42.17A.640 (formerly RCW 42.17.200) [Declaratory Order No. 12, issued May 24, 1994] |
Declaratory Order | Grassroots Lobbying | Lobbying |
Concealment | General | Candidates, Political Committees, Bona Fide Party Committee | Campaign Contributions, Campaign Expenditures |
Contributing to Other Candidates and Committees | General | Candidates | Campaign Contributions |
Contribution Limits | General | Candidates, Political Committees, Bona Fide Party Committee, Out-of-State Political Committees, Lobbyists, Lobbyist Employer | Campaign Contributions, Contribution Limits |
Contribution Limits After Redistricting | Commission Interpretation | Candidates, Political Committees, Bona Fide Party Committee, Sponsors of Independent Expenditures, Lobbyists | Contribution Limits |
Contributions - Receiving Currency | General | Candidates, Political Committees, Bona Fide Party Committee | Campaign Contributions |
Contributions - Reimbursements | General | Candidates, Political Committees, Bona Fide Party Committee, Lobbyists | Campaign Contributions |
Contributions from Out-of-State Committees | General | Candidates, Out-of-State Political Committees | Campaign Contributions, Reporting Deadlines |
Contributions Given Within Three Weeks Of General Election ("11th Hour" Contributions) | Commission Interpretation | Candidates, Political Committees, Bona Fide Party Committee | Campaign Contributions, Contribution Limits |
County Council Questionnaire Mailed During Election Campaign The production and mailing of a budget questionnaire at county expense during an election campaign would violate RCW 42.17A.555 (formerly RCW 42.17.130) if it includes a cover page which is unrelated to the questionnaire and which draws special attention to a council member who is a candidate. [Declaratory Order No. 2, issued October 23, 1979] |
Declaratory Order | ||
Definition of "Local Official" | Commission Interpretation | Candidates, Elected Officials | Public Agency Facilities |
Definition of "Open Press Conference" | Commission Interpretation | Elected Officials | Public Agency Facilities |
Definition of "Within 21 Days of a General Election" NOTE: Some of these dollar values have changed |
Commission Interpretation | Candidates, Political Committees | Contribution Limits |
Definition of Political Committee | Commission Interpretation | Political Committees | |
Describing Candidates in Ads Party preference must be stated if the office is a partisan one. Rules govern photo size and certain descriptive terms. |
General | Candidates, Political Committees, Sponsors of Independent Expenditures, Incidental Committees, Lobbyists | Political Advertising |
Designation and Disposal of Surplus Funds Candidates can transfer unspent campaign funds after an election to certain uses. |
Commission Interpretation | Candidates, Political Committees, Bona Fide Party Committee | Surplus Funds |
Determining When an Entity is the Functional Equivalent of a Public Agency | Commission Interpretation | Public Agencies | Public Agency Facilities |
Distinguishing In-Kind Loans, Debt, and Pledges NOTE: Some of these dollar values have changed |
Commission Interpretation | Candidates | Campaign Debt, Campaign Expenditures, Campaign Loans |
Earmarked Contributions | General | Candidates, Political Committees, Bona Fide Party Committee, Lobbyists | Campaign Contributions |
Employee Withholding for Political Contributions | General | Lobbyist Employer, Public Agencies | Campaign Contributions |
Endorsements Of Candidates Distributed Through School Facilities Distribution through the internal mail system of a school district of a newsletter published by a local education association, which contains endorsements of candidates for public office, would violate RCW 42.17A.555 (formerly RCW 42.17.130). [Declaratory Order No. 4, issued May 27, 1980] |
Declaratory Order | ||
Exempt & Non-Exempt Accounts | General | Political Committees | |
False Political Advertising False political ads, published with actual malice, are illegal. |
General | Candidates, Political Committees, Out-of-State Political Committees, Sponsors of Independent Expenditures, Incidental Committees, Lobbyists, Lobbyist Employer | Political Advertising |
Grassroots Lobbying and Exemption from Registration and Reporting The law regarding lobbyist registration does not provide petitioners an exemption from the registration and reporting requirements for grassroots lobbying. [Declaratory Order No. 16, issued February 26, 2010] |
Declaratory Order | Grassroots Lobbying | Lobbying |
Group Seeking Incorporation Of A City A group of citizens which has publicly circulated petitions to a boundary review board seeking to incorporate a second-class city and has solicited contributions from the general public is a political committee and therefore must file reports of contributions and expenditures from the time of its first contribution or expenditure. [Declaratory Order No. 3, issued March 25, 1980] |
Declaratory Order | ||
Guidelines for Local Government Agencies in Election Campaigns | Commission Interpretation | Candidates, Public Agencies | Public Agency Facilities |
Guidelines for School Districts in Election Campaigns Public disclosure law governing use of public facilities in school district campaigns |
Commission Interpretation | Candidates, Public Agencies | Public Agency Facilities |
In the matter of the Petition from Institute for Free Speech Regarding Pro Bono Legal Work The Commission issued an order concerning a non-profit organization's plan to provide pro bono legal services to a person who plans to appeal a ruling in a campaign finance court case. The order says the non-profit need not register or file reports with the PDC, nor disclose its donors, as long as it represents the person in his individual capacity in the appeal. [Declaratory Order No. 18, issued May 27, 2021] |
Declaratory Order | Candidates, Political Committees, Bona Fide Party Committee, Out-of-State Political Committees, Sponsors of Independent Expenditures, Incidental Committees, Lobbyists, Lobbyist Employer, Grassroots Lobbying, Public Agencies, Official filing financial affairs report, Elected Officials, Voters & the Public | Enforcement Cases, Rulemaking |
In The Matter Of The Petition Of Recall Mark Lindquist For A Declaratory Order Whether contribution limits identified in RCW 42.17A.405(3) may be applied to Recall Mark Lindquist in light of the Farris decisions [Farris v. Seabrook, 677 F.3d 858, 867 (9th Cir. 2012) and subsequent circuit court opinion] and injunction as well as the factual representations made by the Committee as to its campaign conduct. [Declaratory Order No. 17, issued August 11, 2015] |
Declaratory Order | ||
Internal Political Communications and Sponsor Identification | Commission Interpretation | Political Committees, Bona Fide Party Committee | Political Advertising |
Intra-Party Transfers and Federal Accounts of Party Organizations NOTE: Some of these dollar values have changed |
Commission Interpretation | Political Committees, Bona Fide Party Committee, Out-of-State Political Committees | Campaign Contributions, Contribution Limits |
Items Exempt from Sponsor ID | General | Candidates, Political Committees, Sponsors of Independent Expenditures, Incidental Committees, Lobbyists, Lobbyist Employer | Political Advertising |
Legal Fees Related to Placing, or Not Placing, a Proposition on the Ballot | Commission Interpretation | Political Committees, Public Agencies | |
Legislative Session Freeze | General | Candidates, Lobbyists, Elected Officials | Campaign Contributions |
Legislator Newsletters Concerning Ballot Propositions One or more of the cited prohibitions against use of office facilities or public office funds to promote or oppose a ballot proposition would be violated by a legislator using such facilities or funds (a) to prepare and distribute the attached newsletter expressing views in opposition to two ballot measures, or (b) to make speeches or distribute legislative materials for the purpose of opposing such measures. [Declaratory Order No. 1, issued November 15, 1997] |
Declaratory Order | ||
Library Display of Campaign Materials | Commission Interpretation | Public Agencies, Elected Officials | Public Agency Facilities |
Limits on "Last Minute" Contributions | General | Candidates, Political Committees, Lobbyists, Lobbyist Employer | Contribution Limits |
Limits on Publicly Funded Lobbying Public agencies must limit lobbying activities and avoid spending public funds on gifts to state officials or employees. |
General | Public Agencies | |
Lobbyist Duties and Restrictions | General | Lobbyists, Lobbyist Employer | Registration, Lobbying |
Local Agencies Promoting Ballot Propositions Unless express authority is granted by an independent source, a local agency cannot promote a ballot proposition as 'normal and regular conduct' of the agency, for to do so would be in violation of RCW 42.17A.550 (formerly RCW 42.17.130). [Declaratory Order No. 10, issued November 16, 1993] |
Declaratory Order | ||
Online Campaign Activities NOTE: Some of these dollar values have changed |
Commission Interpretation | Candidates, Political Committees | Political Advertising |