The ruling yesterday didn't change this, although it may need some tweaking in terms of "domestic subsidiaries of foreign-owned corporations," since it doesn't discuss political ads, which were previously forbidden to all corporations, thus not addressed here in terms of those domestic subsidiaries. Foreign corporations would still be banned, though.
http://www.fec.gov/pages/brochures/foreign.shtmlThe Federal Election Campaign Act (FECA) prohibits any foreign national from contributing, donating or spending funds in connection with any federal, state, or local election in the United States, either directly or indirectly. It is also unlawful to help foreign nationals violate that ban or to solicit, receive or accept contributions or donations from them. Persons who knowingly and willfully engage in these activities may be subject to fines and/or imprisonment.
The following groups and individuals are considered "foreign nationals" and are, therefore, subject to the prohibition:
•Foreign governments;
•Foreign political parties;
•Foreign corporations;
•Foreign associations;
•Foreign partnerships;
•Individuals with foreign citizenship; and
•Immigrants who do not have a "green card."Individuals: The "Green Card" Exception
An immigrant may make a contribution if he or she has a "green card" indicating his or her lawful admittance for permanent residence in the United States.
Domestic Subsidiaries and Foreign-Owned Corporations
A U.S. subsidiary of a foreign corporation or a U.S. corporation that is owned by foreign nationals may be subject to the prohibition, as discussed below.
PAC Contributions for Federal Activity
A domestic subsidiary of a foreign corporation may not establish a federal political action committee (PAC) to make federal contributions if:
1.The foreign parent corporation finances the PAC's establishment, administration, or solicitation costs; or
2.Individual foreign nationals:
◦Participate in the operation of the PAC;
◦Serve as officers of the PAC;
◦Participated in the selection of persons who operate the PAC; or
◦Make decisions regarding PAC contributions or expenditure. 11 CFR 110.20(i).
(See also AOs 2000-17, 1995-15, 1990-8, 1989-29, and 1989-20.)
Corporate Contributions for Nonfederal Activity
Additionally, a domestic subsidiary of a foreign corporation (or a domestic corporation owned by foreign nationals) may not donate funds or anything of value in connection with state or local elections if:
1.These activities are financed by the foreign parent or owner; or
2.Individual foreign nationals are involved in any way in the making of donations to nonfederal candidates and committees.