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Outside groups (e.g. Super PACs) spending to support or oppose John W. Hickenlooper (FEC Schedule E) — not a contribution to the campaign.
Source: Federal Election Commission, through Jun 30, 2026.
Source: U.S. Senate — Electronic Financial Disclosures, latest filing May 5, 2026.

Individuals 72% · PACs 11%
Of individual donations: 34% small-dollar (≤$200) · 66% large-dollar (>$200)
Outside groups (e.g. Super PACs) spending to support or oppose this candidate (FEC Schedule E) — not a contribution to the campaign.
Individual contributions above $200 are itemized (large-dollar); the rest is reported as unitemized (small-dollar, ≤$200). The small-dollar figure is estimated as the FEC summary total minus itemized contributions.
Independent expenditures — money outside groups (e.g. Super PACs) spent to support or oppose this candidate (FEC Schedule E) — are shown separately and are NOT contributions to the campaign.
By owner: 4 self · 4 spouse · 2 dependent
Amounts are disclosed as ranges (STOCK Act brackets), not exact values.
Disclosure dates lag the transaction by up to ~30–45 days; the trade date and the disclosed date are shown separately.
Owner indicates whose account traded (self, spouse, joint, or dependent) — a spouse/dependent trade is not the member trading personally.
Coverage is U.S. Senate e-filed periodic transaction reports; paper filings are excluded pending OCR, so no disclosed trades does NOT mean a member did not trade.