Judges: GREG ABBOTT, Attorney General of Texas.
Filed Date: 1/25/2007
Status: Precedential
Modified Date: 7/6/2016
The Honorable Rex Emerson Kerr County Attorney County Courthouse, Suite BA-103 700 Main Street Kerrville, Texas 78028
Re: Whether a county commissioners court may delegate nonstatutorily assigned duties to other elected county officials (RQ-0504-GA)
Dear Mr. Emerson:
You ask whether a county commissioners court may delegate nonstatutorily assigned duties to other elected county officials.1
In 1992 the Kerr County Commissioners Court approved an order designating the Kerr County Treasurer as the county personnel officer.2 The order assigned several duties to the personnel officer:
[The] Personnel Officer shall be required to and shall have the responsibility of keeping and maintaining . . . personnel files of each county employee, as required by the Court or the personnel rules[,] assisting in the administration of the Kerr County Personnel Policies, preparing reports and documentation required by state and federal agencies regarding personnel matters, maintaining time records, monitoring accumulations of vacation, sick leave, and overtime, administering the benefits programs, and working with the County Auditor in matters of accounting and compensation. The County Personnel Officer shall assist Elected Officials, Department Heads, and Supervisors in personnel matters and shall make such reports to the Commissioners Court as may be requested by the Court.
Kerr County Commissioners Court, Order No. 21189: Appointment of Barbara Nemec as County Personnel Officer (Nov. 23, 1992), attached to Tinley Brief, supra note 2.
The treasurer served as county personnel officer until June 12, 2006, when she informed the commissioners court that she "would no longer perform the human resource functions, citing a lack of staff and/or financial resources." Tinley Brief, supra note 2, at 1; see Memorandum to Kerr County Judge Pat Tinley et al. from Barbara Nemec, Kerr County Treasurer (June 12, 2006), attached to Tinley Brief, supra note 2. The county judge asserts that the commissioners court has implied power to assign to an officer of the commissioners court's choosing duties and functions that are not assigned by law to a specific officer. Brief attached to Request Letter, supra note 1, at 1. The county judge further asserts that the treasurer may not unilaterally decline to perform tasks that the commissioners court has delegated to her office. Id. And because the commissioners court intends to review several elected county officials' job descriptions, you believe the issue may arise with respect to officers other than the treasurer. See id.
Under article
Agan is helpful in analyzing the issue you raise. In Agan the court considered whether the Titus County Commissioners Court "may divest the County Treasurer of payroll preparation responsibilities and transfer those responsibilities to the County Auditor." Agan,
(1) collecting timesheets from all county departments, entering timesheet data into the county computer system to generate payroll deductions for FIT, FICA, Medicare, insurance, retirement, and child support payments; (2) making FIT deposits with bank; (3) making child support deposits with appropriate offices; (4) depositing payroll funds; (5) paying insurance premiums; (6) preparing insurance claims; (7) wiring payments to third party administrators; (8) answering questions about insurance claims or payments; (9) preparing and transmitting W-2's and 1099's; and (10) preparing payroll checks.
Id. at 79. The court suggests that the transferred duties are of two types: payroll preparation duties as typified by the duties numbered (1), (6), (8), (9), and (10) and the disbursement of county funds as typified by the duties numbered (2), (3), (4), (5), and (7). Seeid. at 81-82.
After outlining the commissioners court's jurisdiction, theAgan court examined the treasurer's core duties or functions. Seeid. at 80. Article
• The treasurer is required to keep county funds "in a designated depository and . . . account for all money belonging to the county." Id. (quoting Tex. Loc. Gov't Code Ann. § 113.001).
• The county treasurer must "keep an account of" all money received, all expenditures of county funds, and all debts owed by the county. Id. (quoting Tex. Loc. Gov't Code Ann. § 113.002).
• The treasurer must "keep accurate, detailed accounts of all the transactions of the treasurer's office." Id. (quoting Tex. Loc. Gov't Code Ann. § 113.002).
• The treasurer "shall receive all money belonging to the county." Id. (quoting Tex. Loc. Gov't Code Ann. § 113.003).
• The treasurer must disburse county money and "pay and apply the money as required by law and as the commissioners court may require or direct, not inconsistent with law." Id. (quoting Tex. Loc. Gov't Code Ann. § 113.041(a)).
As Agan makes clear, the commissioners court cannot take these core functions from the county treasurer. Id. On the other hand, the court recognized that the law does not expressly assign certain functions that a county may find necessary to perform. See id. at 81. In such a case, the county commissioners court has, within its legislative powers, "broad discretion" in assigning the function to an appropriate county official. Id.
The Agan court found that neither the Texas Constitution nor statutes have specifically designated the county office that is to perform payroll preparation duties. Id. Because payroll preparation responsibilities have not been assigned by law, according toAgan, "the Commissioners
Court acting in its legislative capacity may delegate the responsibilities to an appropriate county official." Id. And the court found that the county auditor is an "appropriate county official" to perform payroll preparation duties because the auditor has statutory authority to perform the clerical functions associated with those duties. Id. On the other hand, the Agan court determined that those duties that involve disbursing county funds are core functions of the county treasurer that the county commissioners court may not reassign.See id. at 82.
You suggest that Agan does not apply here because the county treasurer is an elected official, as opposed to the appointed county auditor to whom the Titus County Commissioners Court had delegated duties in that case. See Brief attached to Request Letter, supra note 1, at 3-4.Agan does not suggest, however, that the initial delegation to the county treasurer, an elected officer who wanted to perform the duties, was improper. See generally Agan,
In answer to your question we conclude, consistently withAgan, that a commissioners court has authority to delegate to an appropriate elected county official duties that are not expressly assigned by the constitution or statutes. See Brief attached to Request Letter, supra note 1, at 1. And, applying the Agan analysis to determine whether a commissioners court may delegate the personnel duties described in the 1992 order to the county treasurer, we first find no constitutional or statutory provisions that expressly delegate such duties to the treasurer. See Kerr County Commissioners Court, Order No. 21189: Appointment of Barbara Nemec as County Personnel Officer (Nov. 23, 1992), attached to Tinley Brief, supra note 2. Consequently, none of the personnel duties at issue are within the treasurer's core functions.Cf. Agan,
Assuming, therefore, that the duties are not within another county officer's core functions — and you do not suggest that they are — the commissioners court may delegate the functions to the treasurer if the commissioners court finds the treasurer to be an appropriate official.See id. Whether a particular county officer is an appropriate county official to whom the commissioners court may delegate certain tasks is a question of fact that the commissioners court must determine in the first instance. Cf. Tex. Att'y Gen. Op. No.
Further, the commissioners court may not, by assigning noncore functions to a particular constitutionally established office, restrict or prevent the officer's ability to perform core functions. Cf. Vondy v.Comm'rs Court of Uvalde County,
Very truly yours,
GREG ABBOTT Attorney General of Texas
KENT C. SULLIVAN First Assistant Attorney General
ELLEN L. WITT Deputy Attorney General for Legal Counsel
NANCY S. FULLER Chair, Opinion Committee
KYMBERLY K. OLTROGGE Assistant Attorney General, Opinion Committee