The term corporate donation refers to any financial contribution made by a corporation to another organization that furthers the contributor's own objectives. Two major kinds of such donations deserve specific consideration, charitable as well as political donations.
According to a 2020 study of large United States–based corporations, "6.3 percent of corporate charitable giving may be politically motivated, an amount 2.5 times larger than annual PAC contributions and 35 percent of federal lobbying. Absent of disclosure requirements, charitable giving may be a form of corporate political influence undetected by voters and subsidized by taxpayers."[1]
Corporations give to charitable causes, either because of the personal convictions of influential leaders within the corporation, or more commonly to help establish the public perception that the corporation is a good corporate citizen.
Corporate charitable giving can be divided into direct cash and non-cash contributions. Direct cash giving comes from corporate headquarters, regional offices, or company sponsored foundations. Examples of direct cash contributions include:
Non-cash contributions are contributions of equipment, supplies or time, and do not include cash contributions. Examples of non-cash contributions include:
Non-cash contributions can also be interpreted through an organization's policy to allow employees paid time off when performing volunteer work.
Total corporate cash donations in 2010 are estimated to be $15.29 billion in the United States.[2] Of that, ~80%-85% came from corporate grants and sponsorship of fundraising events while ~15%-20% or $2–$3 billion came from corporate matching gifts and volunteer grants.[4]
There is a wide range of models of political finance in democracies; political donations by individuals and organizations are one of many sources of funding.
In the US, corporations are prohibited from making expenditures to influence federal elections.[5][6] Similar restrictions exist in many state elections and have been upheld by the US Supreme Court.[7]
Corporations may make donations to Political Action Committees (PACs); PACs generally have strict limits on their ability to advocate on behalf of specific parties or candidates, or even to coordinate their activities with political campaigns. PACs are subject to disclosure requirements at the federal and state levels. The ability of corporations to engage in such independent expenditures has been subject to intense debate after the US Supreme Court struck down, on free-speech grounds, limits in Citizens United v. FEC, a case involving the creation of a film critical of Hillary Clinton by a nonprofit corporation.
Donations are closely tracked by several organizations including OpenSecrets. Such organizations often group donations under specific corporations, but such donations refer to contributions from individuals and PACs associated with the corporation, not "corporate donations".
Corporate donations to PACs and Super PACs are a First Amendment issue and subject to intense political debate in the US. Proponents of tighter regulations of political donations by corporations argue[8] that corporate donations corrupt democracy. Other research suggests that post-election lobbying and access to politicians, rather than campaign contributions, shapes and reinforces policy decision by politicians.[9]
In Germany, both individuals and corporations may make unlimited contributions to political parties. These contributions are partially tax exempt and partially matched by government funds; contributions of more than 10000 Euros are reportable.
During the 2013 election cycle in Germany, corporations and other organizations made direct contributions to German political parties in the amount of at least 24.2 million Euros.[10] Due to public subsidies of political parties and membership dues, such donations in Germany generally represent about 15% of the total revenue of major political parties; see Party finance in Germany.
Australia, the Czech Republic, Denmark, Estonia, Germany, Luxembourg, the Netherlands, Norway, Spain, Sweden, Switzerland, and Turkey have no limits on either contributions for parliamentary elections or on spending on such elections.
In Belgium, Canada, Chile, France, Greece, Iceland, Ireland, Israel, Japan, South Korea, Poland, and Slovenia, there are limits on both contributions and spending
Austria, Hungary, Italy, New Zealand, Slovakia, the United Kingdom have no limits on contributions but do have limits on spending.
Finland and the United States have limits on contributions but not on spending.[11]
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The literature given here refers to political donations by corporate donors only: