Skip to main content

Request By:

Hon. George T. Hays
Jackson County Attorney
Post Office Box 748
McKee, Kentucky 40447

Opinion

Opinion By: Frederic J. Cowan, Attorney General; Gerard R. Gerhard, Assistant Attorney General

By letter of September 26, 1991, you ask whether there are any provisions for an elected official, such as a constable, to be paid by the sheriff for helping patrol the county.

While there are no statutory provisions specifically providing for a sheriff's employment of a constable to assist in patrolling the county, in our view, subject to the conditions noted below, a sheriff may so employ a constable. Discussion follows.

You explain that an elected constable in Jackson County has been working for the sheriff (apparently assisting in patrolling the county) and that the constable is being paid from the sheriff's funds.

Your letter does not indicate whether the constable involved is acting as a deputy sheriff, nor do you indicate whether the fiscal court has provided for such arrangement.

If the constable is acting as a deputy sheriff, such action presumably would violate KRS 61.080(2), which makes the office of deputy sheriff incompatible with that of constable.

However, subject to a constable's employment being within the scope of approval of the fiscal court pursuant to KRS 64.530, in our view a proper mechanism for a sheriff's employment of a constable to assist in patrolling the county could be established. See OAG 91-118, concerning a sheriff's employment of assistants other than "deputies. " While OAG 91-118 deals principally with a sheriff's employment of non-sworn assistants, the principle that a sheriff may hire assistants other than "deputies" would apply as well to a sheriff's employment of a constable (who has law enforcement authority by virtue of being a constable) . And see, regarding the general principle that a sheriff may employ a constable, OAG 78-66. Copies of both opinions cited above are enclosed for your information.

LLM Summary
In OAG 91-181, the Attorney General discusses whether a sheriff can employ a constable to assist in patrolling the county. The opinion concludes that, subject to certain conditions and approvals, a sheriff may employ a constable for such purposes. The decision cites OAG 91-118 and OAG 78-66 to support the principle that a sheriff can employ assistants other than deputies and that employing a constable is permissible under certain conditions.
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:
1991 Ky. AG LEXIS 181
Neighbors

Support Our Work

The Coalition needs your help in safeguarding Kentuckian's right to know about their government.