Untitled Texas Attorney General Opinion ( 1986 )


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  •     Ronorable Erwin W. Barton            Opinion No. ``-585
    Chairman
    Human Services Committee             Re:   Whether the county auditor or
    Texas House of Representatives       the county treasurer is the county
    P. 0. Box 2910                       payroll disbursing officer for,
    Austin, Texas   78769                purposes of Title llOB, V.T.C.S.,
    governing public retirement systems
    Dear Representative Barton:
    Title 1lOB. V.T.C.S., contains those statutes governing the
    creation and operation of the Employees Retirement System of Texas,
    the Teacher Retirement System of Texas, the Judicial Retirement System
    of Texas, the Texas Count:{ and District Retirement System, and the
    Texas Municipal Retirement System. The various statutes governing the
    -   several systems provide that a payroll disbursing officer or employee
    for each employer collects member contributions by deducting such
    contributions from the compensation of each member that it employs.
    V.T.C.S. Title llOB, P525.402, 35.403, 55.403, 65.402. You wish to
    know whether, in counties of 10,000 or more population, the county
    auditor or the county trez.surer (in those counties which still have
    such officers) .is the county payroll disbursing officer for purposes
    of section 55.403 of Title 1lOB. V.T.C.S. We conclude that the proper
    officer is the county treasurer. We do not address the issue as to
    who is the proper disbursing officer or employee in those counties in
    which the office of county treasurer has been abolished.
    Section   55.403(e)   of   Title      IlOB,   V.T.C.S.,   provides   the
    following:
    The treasurer or+sbursing    officer of each par-
    ticipating subdivision shall:
    (1) make deductions from each member's com-
    pensation for contributions to the retirement
    system;
    (2) transmit monthly, or at the time designated
    by the board of trustees, the payroll and other
    pertinent information prescribed by the board; and
    p. 2620
    Honorable Erwin W. Barton - I?age2   (JM-585)
    (3) pay the deductions to the        board of
    trustees at the board's home office.     (Emphasis
    added).
    We are required to construe section 55.403(e) in a way that
    expresses only the will of the makers of the law,
    not forced nor st.cained,but simply such as the
    words of the law in their plain sense fairly
    sanction and will clearly sustain.
    Railroad Commission of Texas v. Miller, 
    434 S.W.2d 670
    , 672 (Tex.
    1968). The very terms of ?he statute itself reposes the responsi-
    bility for making .employee .payroll deductions in-the treasure;, not
    the auditor; Texas law clearly makes the treasurer, not the auditor,
    the county disbursing offic,x.
    Article XVI, section 44, of the Texas Constitution provides,
    inter alla, that the legi$,lature shall prescribe the duties of the
    office of county treasurer. Article 1709, V.T.C.S., sets forth the
    duties of the county treasurer and provides in pertinent part that
    [tlh= County Trwsurer, as chief custodian of
    county finance, iwll receive all moneys belonging
    to the county fz,om whatever source they may be
    derived: keep anC1 account for the same in a
    designated depository or depositories; and pay and
    apply or disburse the same, in such manner as the
    Commissioners C&t    may require or direct, not
    inconsistent with constituted law.       (Emphasis
    added).
    Article 1709a, V.T.C.S., pr#rlidingspecifically for the receipt, safe-
    keeping and disbursement of county funds, sets forth at section 4 the
    folliiwingin pertinent part:
    From and after the effective date of this Act the
    County Treasurer & each county shall disburse a
    moneys belonging to the county, for whatever
    purpose they may-be claimed, and shall pay and
    apply the same ,u? required by law. No moneys
    shall be expend=7 or withdrawn from the county
    treasury except b:rchecks or warrants drawn on the
    county treasury, whether such moneys are in a
    county depositor:r as required by law or not.
    (Emphasis added).
    V.T.C.S. art. 1709a, 94.
    p. 2621
    Honorable Erwin W. Barton - :?age3    (JM-585)
    Article 1651, V.T.C.S., sets forth the duties of the county
    auditor and provides that
    [t]he Auditor sh,l:Llhave a general oversight of
    all the books and records of all the officers
    of the county, district or state, who Mayo be
    authorized or required by law to receive or
    collect any~money, funds, fees, or other property
    for the use of, or belonging to, the county. . . .
    See also V.T.C.S. arts. 1653, 1709a.
    The word "disburse" gen'erallydenotes "pay" or "expend." Woodford
    v. United States, 
    77 F.2d 861
    , 865 (8th Cir. 1935); Wall v. Close, 
    14 So. 2d 19
    , 36 (La. 1943); ---
    see also People v. Battin, 
    143 Cal. Rptr. 731
    (Cal. Ct. App. 1978); --
    Browx v. Honiss, 
    68 A. 150
    (N.J. 1907). It is
    clear from an even cursory reading of section 55.403 of Title 1lOB;
    V.T.C.S., that the county treasurer is the proper officer to deduct
    member contributions because he is the officer whose responsibility it
    is to "disburse" county funds. This conclusion is consistent with
    earlier attorney general o:?inionsthat discuss the-various responsi-
    bilities of the county treasurer and the county auditor.
    In Attorney General O``inionV-1387 (1952), this office was asked
    whether a commissioners cour'tcould require a county auditor to handle
    payroll deductions, accounts, and reports regarding social security
    for county employees. The opinion held that
    [u]nder the above authorities and articles [setting
    forth the duties of the county treasurer and the
    county auditor] we agree with you that it is the
    duty of the coun:y treasurer to assess the amount
    of the contribui:ions necessary from the various
    county employees, to collect this amount, and to
    transmit same to the state agency. We further
    agree that under article 1651, V.C.S., the county
    auditor is required to check, compare, and audit
    the social secweity services of the county
    treasurer, and to certify the results to the proper
    officials.
    In Attorney General Opinion V-711 (1948), this office was asked
    whether the county auditor, pursuant to the duties imposed by article
    1656a. V.T.C.S., had tht! authority to deduct employees' soup
    insurance premiums from enployees' salaries when so authorized by
    employees. Citing the above statute setting forth the duties of the
    county auditor, this office 'heldthat
    p. 2622
    Honorable Erwin W. Barton - I?age4      (JM-585)
    [i]n view of the foregoing provision, neither the
    collection nor the deduction of the contributions
    from the salaries of the county employees consti-
    tutes any functimi of the County Auditor. . . .
    The collection and deduction should be performed
    by the proper couxty officer who issues the checks
    on the County Tr,easurer for the payment of the
    salaries of the employees included in the group
    insurance plan.
    .
    See also Attorney General 0p:LnionWW-1107 (1961).
    Accordingly, we conclude that the proper county payroll dis-
    bursing officer for purpos'zs of Title IlOB, V.T.C.S., is the county
    treasurer rather than the cxmty auditor.
    SUMMARY
    In counties with a population of 10,000
    inhabitants or rare, the proper county payroll
    disbursing officer for purposes of Title llOB,
    V.T.C.S., is the county treasurer rather than the
    county auditor.
    J
    Very truly yours
    &
    JIM     MATTOX
    Attorney General of Texas
    JACK HIGBTOWER
    First Assistant Attorney General
    MARY KELLER
    Executive Assistant Attorney General
    RICK GILPIN
    Chairman, Opinion Committee
    Prepared by Jim Moellinger
    Assistant Attorney General
    p. 2623
    

Document Info

Docket Number: JM-585

Judges: Jim Mattox

Filed Date: 7/2/1986

Precedential Status: Precedential

Modified Date: 2/18/2017