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Request By:

Honorable Alva A. Hollon, Jr.
Attorney at Law
Adams Building
Box 779
Hazard, Kentucky 41701

Opinion

Opinion By: Robert F. Stephens, Attorney General; By: Robert L. Chenoweth, Assistant Attorney General

As legal counsel for the Perry County Board of Education you have requested an advisory opinion from the Office of the Attorney General regarding a possible conflict of interest for the newly elected superintendent of the Perry County Schools. The question of possible conflict centers around the fact that the superintendent-elect is the president of the Perry County Farm Bureau which is a nonsalaried position but for which travel pay per month is allotted. The other position is one as a supervisor of the Perry County Conservation District, which position provides travel pay of $15.00 per month. You noted that your chief concern was the conservation district position.

Before turning to the statutes, it is necessary to first characterize all of the positions involved. The position of local superintendent of schools is a state office pursuant to KRS 160.350 and as held in a number of cases, among them being

Whitley County Board of Education v. Rose, 267 Ky. 283, 102 S.W.2d 28 (1937), and

Board of Education of Graves County v. DeWeese, Ky., 343 S.W.2d 598 (1960). The position of supervisor of a soil and water conservation district is held pursuant to KRS 262.200 and 262.240. The Attorney General's Office in prior opinions has concluded that a soil and water conservation district is a separate governmental subdivision of the state, a public body corporate and politic and does not constitute a municipality, county or agency of state government. See OAG 71-230, copy attached. The position with the farm bureau organization is not governmental in nature.

As you expressed in your letter, KRS 61.080(1) must be considered, which reads as follows:

"(1) No person shall, at the same time, be a state officer, a deputy state officer or a member of the general assembly, and an officer of any county, city or other municipality, or an employe thereof."

From the characterization of the positions above it is clear there will not exist any statutory conflict of interest nor any conflict under Kentucky Constitution Section 165. See again OAG 71-230, supra.

There is one additional section of law that must be considered. KRS 160.390(2) reads in pertinent part as follows:

"(2) The superintendent shall devote himself exclusively to his duties."

While we do not believe this statute can be construed to prohibit or even necessarily curtail the non-school related activities of a local superintendent of schools, cf. OAG 65-848, copy attached, it does serve to point out the fact that the responsibilities associated with the positions of being farm bureau president and a supervisor of a conservation district could possibly, if not well managed, create a function incompatibility with the responsibilities attendant to serving as a local superintendent of schools.

LLM Summary
In OAG 79-149, the Attorney General of Kentucky addresses a query regarding potential conflicts of interest for a newly elected superintendent of Perry County Schools who also holds positions as president of the Perry County Farm Bureau and as a supervisor of the Perry County Conservation District. The opinion clarifies that these positions do not constitute statutory conflicts of interest or conflict under Kentucky Constitution Section 165. It also discusses the implications of KRS 160.390(2) on the superintendent's ability to engage in non-school related activities.
Disclaimer:
The Sunshine Law Library is not exhaustive and may contain errors from source documents or the import process. Nothing on this website should be taken as legal advice. It is always best to consult with primary sources and appropriate counsel before taking any action.
Type:
Opinion
Lexis Citation:
1979 Ky. AG LEXIS 488
Cites (Untracked):
  • OAG 65-848
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