Political Contributions: Disclosure for Fiscal Year 2022
McCormick’s contributions for fiscal year 2022 are listed below. All contributions have been made and approved in accordance with the Company’s Political Activity Policy.
(i) Corporate political contributions and payments to any individual candidate for office, if any: None. Per the Policy, the Company makes no political contributions or payments to individual candidates for office.
(ii) Contributions and payments to any “Section 527 organizations” such as governors committees and super PACs, if any: None. Per the Policy, the Company does not maintain or sponsor any PAC.
(iii) Payments in connection with any state ballot initiative: None
(iv) Associations in the United States to which McCormick has paid annual dues of $25,000 or more, and which had non-deductible lobbying expenditures:
- TRGroup (Alliance for Competitive Taxation), a Section 501(c)(4) organization ($110,000 in non-deductible lobbying expenditures)
- Association of National Advertisers ($2,786 in non-deductible lobbying expenditures)
- Greater Baltimore Committee ($2,275 in non-deductible lobbying expenditures)
- Consumer Brands Association, a Section 501(c)(6) organization ($32,000 in non-deductible lobbying expenditures)
- Manufacturers’ Alliance of Maryland ($25,000 in non-deductible lobbying expenditures)
- National Association of Manufacturers, a Section 501(c)(6) organization ($25,051 in non-deductible lobbying expenditures)
- Maryland Chamber of Commerce, a Section 501(c)(6) organization ($10,968 in non-deductible lobbying expenditures)
- National Foreign Trade Council ($9,000 in non-deductible lobbying expenditures)
- Washington Business Roundtable ($120,000 in non-deductible lobbying expenditures)