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Contribution limits — federal (2024)

Codified contribution caps and filing thresholds. Federal rows cite 11 CFR §110 and 52 USC §30116. State rows cite each state's campaign-finance statute. Per the no-vendors rule, every dollar amount on this page points at a primary source — click a citation to read the underlying regulation.

Filters

Contribution caps

Corporation

RecipientCapCitation
Federal candidateprohibited /election52 USC §30118(a); 11 CFR §114.2(b)
Corporate contributions to federal candidates are prohibited. Bright-line statutory ban; treasurer override cannot bypass.
PACprohibited /year52 USC §30118(a); 11 CFR §114.2(b)
Corporate contributions to non-super PACs are prohibited (other than to a corporation's own SSF for administrative costs). Bright-line statutory ban.
Super PACno limitCitizens United v. FEC, 558 U.S. 310 (2010)
Corporate contributions to super PACs are permitted and unlimited post-Citizens United. Corporate contributions to candidates and non-super PACs remain prohibited under 52 USC §30118.

Federal contractor

RecipientCapCitation
Federal candidateprohibited /election52 USC §30119; 11 CFR §115.2
Federal-government contractors are prohibited from making contributions to federal candidates, parties, or committees for the duration of any contract negotiation/performance period.

Foreign national

RecipientCapCitation
Federal candidateprohibited /election52 USC §30121; 11 CFR §110.20
Contributions and donations from foreign nationals are prohibited in any federal, state, or local election. Bright-line ban; treasurer override cannot bypass.
PACprohibited /year52 USC §30121; 11 CFR §110.20
Foreign-national contributions to any U.S. political committee are prohibited.
Super PACprohibited /year52 USC §30121; 11 CFR §110.20
Foreign-national contributions to super PACs are prohibited despite super PACs being uncapped for domestic donors.

Individual

RecipientCapCitation
Federal candidate$3,300 /election52 USC §30116(a)(1)(A); 11 CFR §110.1(b)(1)
Per election. Primary, general, runoff, and special each count separately (11 CFR §110.1(j)). BCRA-indexed every odd year.
PAC$5,000 /year52 USC §30116(a)(1)(C); 11 CFR §110.1(d)
Per calendar year, per non-connected/separate-segregated-fund PAC. Statutory cap; not BCRA-indexed. Super PAC contributions are unlimited under SpeechNow.org v. FEC — separate row.
National party$41,300 /year52 USC §30116(a)(1)(B); 11 CFR §110.1(c)(1)
Per calendar year, per national party committee. DNC + RNC + DCCC + NRCC + DSCC + NRSC each carry their own cap. BCRA-indexed.
National party (additional account)$123,900 /year52 USC §30116(a)(9); 11 CFR §110.1(c)(5)
Per calendar year, per additional national party account: presidential nominating convention, party HQ building, and recount/legal-proceedings account. Three separate caps, one cap per account. BCRA-indexed.
State/local party$10,000 /year52 USC §30116(a)(1)(D); 11 CFR §110.1(c)(2)
Per calendar year, combined across all state/district/local party committees of one political party. Statutory cap; not BCRA-indexed.
Super PACno limitSpeechNow.org v. FEC, 599 F.3d 686 (D.C. Cir. 2010)
No contribution limit. SpeechNow.org v. FEC (D.C. Cir. 2010) + Citizens United v. FEC (US 2010) struck the FECA cap as applied to independent-expenditure-only committees.

Multicandidate PAC

RecipientCapCitation
Federal candidate$5,000 /election52 USC §30116(a)(2)(A); 11 CFR §110.2(b)(1)
Per election. Multicandidate status requires ≥6 months of registration, contributions from ≥50 persons, and contributions to ≥5 federal candidates (11 CFR §100.5(e)(3)). Statutory cap.
PAC$5,000 /year52 USC §30116(a)(2)(C); 11 CFR §110.2(d)
Per calendar year, per PAC. Statutory.
National party$15,000 /year52 USC §30116(a)(2)(B); 11 CFR §110.2(c)
Per calendar year. Statutory.
State/local party$5,000 /year52 USC §30116(a)(2)(C); 11 CFR §110.2(d)
Per calendar year, combined across all state/district/local party committees of one political party. Statutory.

Non-multicandidate PAC

RecipientCapCitation
Federal candidate$3,300 /election52 USC §30116(a)(1)(A); 11 CFR §110.1(b)
Per election. PACs that have not yet qualified as multicandidate (11 CFR §100.5(e)(3)) are subject to individual-equivalent caps.
PAC$5,000 /year52 USC §30116(a)(1)(C); 11 CFR §110.1(d)
Per calendar year. Statutory.
National party$41,300 /year52 USC §30116(a)(1)(B); 11 CFR §110.1(c)
Per calendar year. BCRA-indexed.
State/local party$10,000 /year52 USC §30116(a)(1)(D); 11 CFR §110.1(c)(2)
Per calendar year, combined. Statutory.

Super PAC

RecipientCapCitation
Federal candidateprohibited /electionSpeechNow.org v. FEC; Carey v. FEC consent order (2011)
Prohibited. Super PACs cannot make direct or in-kind contributions to federal candidates; only independent expenditures. The pac.dog limit engine routes any super-PAC-to-candidate disbursement through the coordination check (COORDINATION_PROHIBITED) rather than the dollar-limit check.

National party

RecipientCapCitation
Federal candidate$5,000 /election52 USC §30116(a)(2)(A); 11 CFR §110.2(b)(1)
Per election. National party committees that qualify as multicandidate (they all do in practice). Separate from the national-party-to-Senate-candidate combined cap (next row).
US Senate candidate$57,800 /election52 USC §30116(h); 11 CFR §110.2(e)
Per Senate campaign — national + national senatorial committees COMBINED. (E.g. DNC + DSCC together, RNC + NRSC together.) BCRA-indexed. Separate from the $5,000-per-election cap on direct party-to-candidate contributions.
National partyno limit11 CFR §110.3(c)(1)
Party-to-party transfers within the same political party are unlimited (11 CFR §110.3(c)(1)).

State/local party

RecipientCapCitation
Federal candidate$5,000 /election52 USC §30116(a)(2)(A); 11 CFR §110.2(b)(1)
Per election. State/district/local party committees that have qualified as multicandidate.

Labor union

RecipientCapCitation
Federal candidateprohibited /election52 USC §30118(a); 11 CFR §114.2(b)
Labor organization contributions to federal candidates are prohibited. Bright-line statutory ban.
Super PACno limitCitizens United v. FEC, 558 U.S. 310 (2010)
Labor organization contributions to super PACs are permitted and unlimited post-Citizens United.

Filing thresholds

TriggerAmountActionCitation
Anonymous cash cap$50 (single contribution)return funds11 CFR §110.4(c)
Anonymous contributions over $50 must not be deposited; instead, donated to a 501(c)(3) or the U.S. Treasury. Anonymous contributions of $50 or less may be retained but cannot be itemized.
Best-efforts (employer/occupation)$200 (aggregate)best efforts52 USC §30102(i); 11 CFR §104.7
For contributions aggregating over $200 from a single source, the treasurer must use best efforts (at least one written or oral request) to obtain the contributor's employer + occupation if not initially provided.
Candidate registration trigger$5,000 (per calendar year)register52 USC §30101(2); 11 CFR §100.3(a)
A person becomes a "candidate" once aggregate campaign contributions received OR expenditures made for the campaign exceed $5,000. Triggers Form 2 (Statement of Candidacy) within 15 days, plus Form 1 (Statement of Organization) by their principal campaign committee.
Cash contribution cap$100 (single contribution)refuse52 USC §30102(c)(2); 11 CFR §110.4(c)(1)
Cash (currency) contributions over $100 from any source are prohibited. Amounts up to $100 may be accepted in cash.
Electioneering communication$10,000 (aggregate)file form52 USC §30104(f); 11 CFR §104.20
Electioneering communications (broadcast/cable/satellite ads referring to a federal candidate within 60 days of a general or 30 days of a primary) aggregating over $10,000 in a calendar year trigger Form 9 disclosure within 24 hours of distribution.
Federal employee solicitation$100 (per event)refuse5 USC §7323; 11 CFR §114.5
Hatch Act + 11 CFR §114.5 prohibit soliciting federal-employee contributions in any federal building or via federal-employee channels. The $100 figure marks the Hatch-related "voluntary contribution" threshold below which a federal employee may donate in their personal capacity from non-government property.
Independent expenditure (24-hour notice)$1,000 (aggregate)notice 24h52 USC §30104(g)(1); 11 CFR §109.10(d)
Within 20 days of an election, independent expenditures of $1,000 or more must be reported on Form 24 within 24 hours. Lower threshold and shorter window than the 48-hour rule.
Independent expenditure (48-hour notice)$10,000 (aggregate)notice 48h52 USC §30104(g)(2); 11 CFR §109.10(c)
Independent expenditures aggregating over $10,000 in a calendar year (outside the 20-day pre-election window) trigger a Form 24 48-hour report. Reset at each $10k threshold above the initial.
Independent-spender registration$250 (aggregate)register52 USC §30104(c); 11 CFR §109.10(b)
Per FEC guidance, an individual or group making independent expenditures aggregating over $250 in a calendar year must file Form 5 (24/48-hour IE report for non-political-committees). At higher volumes, registration as an independent-expenditure-only committee (super PAC) becomes practically required.
Contribution itemization$200 (aggregate)itemize52 USC §30104(b)(3)(A); 11 CFR §104.3(a)(4)(i)
Contributions from a single source aggregating over $200 per cycle (authorized committees) or per calendar year (PACs + party committees) must be itemized on Schedule A with donor name, address, employer, occupation, date, and amount. Below threshold: reported in unitemized aggregate.
Disbursement itemization$200 (aggregate)itemize52 USC §30104(b)(5); 11 CFR §104.3(b)(3)(i)
Operating expenditures aggregating over $200 per cycle/year to a single payee must be itemized on Schedule B with payee, address, date, amount, and purpose. Below threshold: unitemized aggregate.
Lobbyist bundling$23,500 (aggregate)file form52 USC §30104(i); 11 CFR §104.22
Authorized committees, leadership PACs, and party committees must disclose bundled contributions from registered lobbyists or lobbyist/registrant PACs that aggregate over the threshold during the reporting period. BCRA-indexed amount; check FEC for current cycle figure (2025: $23,500).
Monthly filer election (advisory)$50,000 (per calendar year)file form11 CFR §104.5(c)
PACs and party committees may file monthly OR quarterly on Form 3X. Monthly filing is elected for the cycle in writing; in election years, monthly filers also file pre-general (12 days before) and post-general (30 days after). The $50,000 figure here marks the practical threshold at which committees typically opt into monthly for cash-flow visibility — purely advisory, not statutory.
PAC registration trigger$1,000 (per calendar year)register52 USC §30101(4)(A); 11 CFR §100.5(a)
A group that receives $1,000 OR makes $1,000 in expenditures in a calendar year becomes a "political committee" under FECA and must register with the FEC on Form 1 within 10 days. Bright-line trigger for non-connected PACs and most independent groups.
Public-communication disclaimer$10,000 (single contribution)disclose52 USC §30120; 11 CFR §110.11
Public communications paid for by a person other than a candidate, authorized committee, or party committee must include a disclaimer (stand-by-your-ad). The $10,000 threshold here is the IE-mandated disclaimer trigger paired with the Form 24 notice.

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