Judges: JOHN ASHCROFT
Filed Date: 6/1/1983
Status: Precedential
Modified Date: 7/5/2016
Dear Senator Mathewson:
This letter is in response to your request for our opinion as follows:
What is the definition of the term "ambulance association"?
Can private ambulance companies be included in the term "ambulance association" under Mo. statute
307.175 ?
In the statement of facts accompanying your request you state:
The owner of an ambulance company wants to provide permits to his people to use blue lights and sirens when they are enroute in their private vehicles to pick up an ambulance for a run, should the need ever arise.
Section
Motor vehicles and equipment which are operated by any member of an organized fire department, ambulance association, or rescue squad, whether paid or volunteer, may be operated on streets and highways in this state as an emergency vehicle under the provisions of section
304.022 , RSMo, while responding to a fire call or ambulance call or at the scene of a fire call or ambulance call and while using or sounding a warning siren and while using or displaying thereon fixed, flashing or rotating blue lights, but sirens and blue lights shall be used only in bona fide emergencies. . . .
It is our purpose to examine Section
Webster's New International Dictionary (2nd Edition, 1935) defines an association as "[a] union of persons in a society for some particular purpose." Similarly, the word "company" is defined as "[a]n association of persons for a joint purpose or performance."Id. at 543. Thus, while the word "association" is not a term of art and lacks the necessary precision to give a clear indication of the legislature's intention, we believe that for purposes of Section
It is our view that the term "ambulance association" as used in §
307.175 [RSMo 1978] should not be given a meaning which would be unduly restrictive . . . . The term "association" is often used in a generic or general sense, and it is our view that it should be given a general meaning . . . .
Your statement of facts presents a second question, namely, whether travel to pick up an ambulance by an employee of an ambulance company is "responding to . . . [an] ambulance call" for purposes of Section
In conclusion we note the following legislative caveat: Section
Permit to use a siren or lights as heretofore set out does not relieve the operator of the vehicle so equipped with complying with all other traffic laws and regulations. . . . [Emphasis added.]
Clearly, persons permitted to display flashing blue lights and sound a siren in responding to a bona fide ambulance call may not ignore posted speed limits, traffic control signs and devices, or other traffic laws and regulations.
Very truly yours,
JOHN ASHCROFT Attorney General