00-0378
Summary Information Not Available
Cite as La. Att'y Gen. Op. No. 00-0378
October 20, 2000
OPINION 00-378
Hon. Emile "Peppi" Bruneau
Speaker Pro Tempore
House of Representatives, District 94
P.O. Box 94062
Baton Rouge, LA 70804
Dear Representative Bruneau:
This office is in receipt of your request for an opinion of the Attorney General in regard to
legal sufficiency of the cost statement published by the Dept. of Insurance. You point out
that R.S. 43:31 specifies certain content of the cost statement and identifies criteria,
including estimated postage, for the computation of costs required to be disclosed, but you
state that it appears that the cost statement on the September 2000, "Louisiana Insurance
UPDATE" does not meet the requirement set out by R.S. 43:31.
Pertinent to your inquiry is Subsections (B) and (C) of R.S. 43:31 which provide as follows:
(1) All printed matter, except documentation in connection with proceedings
of the executive, legislative, and judicial branches of state government,
printed or caused to be printed by any branch, department, agency, official,
employee, or other entity of state government, shall contain the following
statement, with required information inserted, printed on the publication
adjacent to the identification of the agency responsible for publication: "This
public document was published at a cost of $___. (number)copies of this
public document were published in this (number) printing at a cost of $___.
The total cost of all printings of this document, including reprints is $ ___.
This document was published by (name and address of person, firm, or
corporation or agency which printed the material) to (statement of purpose)
under authority of (citation of law requiring publication or of special exception
by division of administration, the legislative budgetary control council, or the
judicial budgetary control council as provided in Subsection A). This material
was printed in accordance with the standards for printing state agencies
established pursuant to R.S. 43:31." If the printing of the material was not
done by a state agency, the above statement shall include the following
additional language: "Printing of this material was purchased in accordance
Rep. Emile "Peppi" Bruneau
OPINION 00-378
Page 2
with the provisions of Title 43 of the Louisiana Revised Statutes." This
statement shall be printed in the same type as the body of the document and
shall be set in a box composed of a one-point rule.
(2) The provisions of this Subsection shall not apply to printed matter used
by the following entities: the Department of Economic Development for the
purpose of attracting new industry to locate within the state of Louisiana; the
Department of Culture, Recreation and Tourism, relative to new promotional
materials; and public colleges and universities, and vocational-technical
schools.
C. The following three factors shall be utilized in computing cost data:
(1) Preparation of the public document for publication;
(2) Printing, including all expenditures for reproduction, whether on bid or in-
house.
(3) Circulation, including all estimated expenditures for postage and
distribution of the public document.
The Louisiana Insurance Update in question contains the following statement:
This public document was published at a total cost of $2,750.00 A total of
20,000 copies of this public document were published in this printing. This
document was published for the Louisiana Department of Insurance, P.O.
Box 94214, Baton Rouge, LA., 70804-9214. by Moran Printing, Baton
Rouge, LA under the authority of special exception by the Division of
Administration. This material was printed in accordance with the standard for
printing by state agencies established pursuant to R.S. 43:31.
.
R.S. 43:31(B) provides in part that the document shall contain, in addition to cost of
publication and number of copies, a statement by whom the document was printed,
"statement of purpose", and under what authority, such as citing of law requiring
publication or of special exception of division of administration. In this regard we do not find
any statement as to the purpose of the document.
Despite this omission, your concern appears to be that the statement does not disclose an
estimate of expenditures for postage and distribution as set forth in the criteria in
computing cost.
While this is an element of the criteria for computing the cost, we do not find that the
statute specifies that these elements be set forth separately in the required statement, but
mandates only that these three factor "be utilized in computing cost data". We find support
for this position in the opinion which you attached to your request, Atty. Gen. OP. No. 90-
Rep. Emile "Peppi" Bruneau
OPINION 00-378
Page 3
437. In that opinion six violations of R.S. 43:31 were set forth which included the failure to
include the costs of preparation of the public document in its computation of the total cost
of publication, and the failure to include in its total cost the publication circulation expense,
including estimated expenditure for postage. It was stated therein that "these conclusions
are logically necessary because the Bulletin's cost statement alleged that the printing cost
was $99.57, and the total cost of publication was $99.57." It was then stated, "Clearly,
none of the other statutorily mandated components of total cost were included in this
computation."
This office clearly found the criteria components were not included in the cost computation
inasmuch as the cost of "printing" was set out as "the total cost". We cannot say that there
were similar omissions to the document in question which gives a figure for "total cost"
without a designation of the computation.
We note that the number of printings are not stated, but it simply states that 20,000 copies
"were published in this printing".
Therefore, we do not find the cost statement is deficient by failing to set forth the criteria
separately that must be utilized in reaching the total cost for it followed the language of
the statute and stated, "This public document was published at a total cost of $2,750.00."
However, there is a failure to name the number of printings, and the purpose of the
document such as to disseminate information, both as required by R.S. 43:31.
We hope this sufficiently answers your request.
Sincerely yours,
RICHARD P. IEYOUB
Attorney General
By:_______________________
BARBARA B. RUTLEDGE
Assistant Attorney General
RPI/bbr
Rep. Emile "Peppi" Bruneau
OPINION 00-378
Page 4
OPINION 00-378
90-A-1 Public Funds & Contracts
R.S. 43:31
The cost statement of printed matter
must set forth the total cost but not
the criteria that must be utilized to
determine the total cost, name the
number of printings, and purpose of
the document.
Hon. Emile "Peppi" Bruneau
Speaker Pro Tempore
House of Representatives, Dist. 94
P.O. Box 94082
Baton Rouge, LA 70804
Date Received: Sept. 26, 2000
Date Released: October 20, 2000
BARBARA B. RUTLEDGE
Assistant Attorney General