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Request By:

Mr. Dan Oesch
3306 Kirby Lane
Louisville, Kentucky 40299

Opinion

Opinion By: Steven L. Beshear, Attorney General; By: Richard O. Wyatt, Assistant Attorney General

Please reference your letter to this office dated September 17, 1980.

You have requested our opinion as to whether the Model Procurement Code would prohibit you, an assistant school principal, from submitting a competitive bid to the school board for services as a professional auctioneer.

First it should be noted that the 1980 session of the General Assembly has amended Chapter 45A of Kentucky Revised Statutes, so that the provisions of the Procurement Code are permissive rather than mandatory for local public agencies such as a local school board. 45A.010(2)(a); 45A.343.

If the Code is adopted by a local school board, the circumstances you have described are not prohibited. The pertinent statute is KRS 45A.455(1), a copy of which is enclosed for easy reference. You will note that the employee whose actions are subject to a conflict of interest is one "with procurement authority." An assistant school principal does not have that requisite procurement authority as regards competitive bids let by the school board.

The other statute applicable to the circumstances you described is KRS 156.480, a copy of which is enclosed for easy reference, which generally prohibits employees of a school district from receiving compensation in excess of $25.00 per year from the local board for the provision of goods or services. However personal services of the employee are specifically excluded from this limitation. Your personal services as auctioneer would fall within this exempted category. However, a school employee who owns an auction company and hires another to perform the auctioneering would not be considered within the "personal service" exemption.

This opinion is in harmony with OAG 80-32; 69-515; and 66-715, copies of which are enclosed for your information. OAG 65-63 and 63-736 are no longer applicable to this issue.

We trust this information is helpful.

LLM Summary
In OAG 80-605, the Attorney General of Kentucky, Steven L. Beshear, provides an opinion regarding whether an assistant school principal can submit a competitive bid to the school board for services as a professional auctioneer. The opinion clarifies that under the Model Procurement Code, as amended by the 1980 session of the General Assembly, such actions are not prohibited if the local school board adopts the code. The opinion also discusses the applicability of KRS 45A.455(1) and KRS 156.480, concluding that the assistant principal's personal services as an auctioneer are exempt from certain limitations. The decision follows the reasoning of OAG 80-32 and declares OAG 65-63 as no longer applicable.
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:
1980 Ky. AG LEXIS 57
Cites:
Cites (Untracked):
  • OAG 65-63
Forward Citations:
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