26
Under the Supreme Court’s precedents, non-profit
entities may be required to use their hard-money accounts for
their own contributions to candidates and parties and for an
appropriately tailored share of administrative expenses
associated with such contributions. But as explained above,
non-profits may not be forced to use their hard-money
accounts for expenditures such as advertisements, get-out-thevote efforts, and voter registration drives. Non-profits – like
individual citizens – are entitled to spend and raise unlimited
money for those activities. The FEC’s five new regulatory
provisions flout those principles.
First, the regulations require covered15 non-profit entities
to use their hard-money accounts to pay at least 50% of the
quantity of expression” for groups like EMILY’s List “by
restricting the number of issues discussed, the depth of their
exploration, and the size of the audience reached.” Buckley, 424
U.S. at 19. As a rough analogy, consider a law that requires home
buyers to pay a 50% cash down payment to obtain a mortgage.
That kind of law would significantly limit how much buyers could
afford to spend for a new house. A similar dynamic is at play as a
result of these regulations.
15
The regulations apply only to those non-profits that must
register with the FEC as political committees – namely, groups that
receive or spend more than $1000 annually for the purpose of
influencing a federal election and whose “major purpose” involves
federal elections. Buckley, 424 U.S. at 79; see 2 U.S.C. §§ 431434, 441a; supra note 7. Our constitutional analysis of donations
and spending limits applies both to non-connected non-profits
registered as political committees with the FEC and to nonconnected non-profits that are not so registered. The fact that a
non-profit spends a certain amount or percentage of its money in
relation to federal elections cannot be a basis, at least under the
anti-corruption rationale, for restricting its ability to accept large
donations to support those expenditures. That conclusion follows