Filed Date: 1/15/1981
Status: Precedential
Modified Date: 7/5/2016
John W. Sutton, Esq. Town Attorney Galway, New York
You inquire whether a town may delegate to the zoning administrative officer of the town responsibility to initiate actions to enforce the zoning laws.
You cite Town of Thompson v Eric Alleva, et al.,
In our opinion, a town, by resolution, may delegate to a zoning administrative officer, authorized to administer the zoning laws, the duty to commence actions and proceedings necessary to enforce the town's zoning laws. In adopting the resolution, the town would be acting under the provisions of sections
Town of Thompson v Eric Alleva, et al., supra, dealt with an action initiated without any authorizing resolution of the town board. We find nothing in the opinion of the Court that would forbid a blanket resolution authorizing a specific officer of a town to enforce the provisions of a local law. Nor do we view such a resolution as an unlawful delegation of legislative authority. The town board fulfills its responsibilities as the legislative body of the town by adopting the zoning laws, establishing penalties for violations and authorizing the zoning administrative officer to commence actions and proceedings to enforce the provisions of the zoning laws. In commencing actions and proceedings to enforce the zoning laws, the zoning administrative officer would be exercising an administrative and not a legislative function.
We conclude that a town, by blanket resolution, may authorize the zoning administrative officer to commence actions and proceedings to enforce the provisions of the town's zoning laws. We suggest, however, that the town board consider some restrictions in the blanket resolution such as a requirement that the town attorney concur in the institution of an action in the name of the town, that the supervisor concur, or perhaps that the members of the board be advised in advance of the intention to bring the action — or some combination of these restrictions.