![]() ![]() 6 During the course of this audit, and in our prior audit, the Gambling Commission requested that we not provide information on the number of devices operated at each casino, pursuant to the compacts and Section 19821 of the Business and Professions Code, which state that such information should not be publicly disclosed.īased on these sections of the compacts and state law, we agreed not to provide specific device counts. As of September 2016, the Gambling Commission reported that the total number of class III gaming devices operated by California Indian tribes was more than 68,000. In accordance with audit standards, we are disclosing the existence of information that we have not published because of its confidential nature. However, post‑1999‑model compacts ratified during fiscal years 2003–04 through 2015–16 contain different provisions regarding the maximum number of gaming devices allowed. The 1999‑model compacts specify 2,000 as the maximum number of gaming devices that each tribe can operate. During fiscal years 2003–04 through 2015–16, the Legislature ratified 12 new tribal‑state compacts and amendments to 20 existing compacts. Eventually, the State entered into 61 of these compacts. In 1999 the Governor negotiated and the Legislature approved legislation ratifying a number of tribal‑state gaming compacts between the State and federally recognized Indian tribes. Appendix Indian Tribes in California With Tribal‑State Gaming Compacts ![]()
0 Comments
Leave a Reply. |
AuthorWrite something about yourself. No need to be fancy, just an overview. ArchivesCategories |