1996-3
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Cite as N.Y. Op. Att'y Gen. No. 1996-3
TOWN LAW § 64(5).
A member of the town board may resign from the board in
order to be appointed to fill a vacancy in the position of zoning
enforcement officer.
February 21, 1996
David P. O'Hara, Esq.
Informal Opinion
Town Attorney
No. 96-3
Town of Cazenovia
9 Albany Street
Cazenovia, NY 13035
Dear Mr. O'Hara:
You have informed us that your zoning enforcement officer is
planning to retire around March of 1996 and that one of the
current town board members, who at that time will be in the third
year of his four-year term on the board, is interested in
becoming the new zoning enforcement officer. You have indicated
that this individual, in addition to his experience on the town
board, has also been a member of the town planning board. You
have inquired whether the town board member may resign from the
board and then be appointed by the town board to the position of
zoning enforcement officer once the vacancy has occurred.
While the Town Law has established an exception, it is
necessary to set forth the general rule of law applicable to such
appointments. Common law voids the appointment by a board of a
member of that board to a public office or position of
employment. Wood v Town of Whitehall, 120 Misc 124 (Sup Ct
Washington Co), affd, 206 App Div 786 (3d Dept 1923). While the
rule in Whitehall applies to the appointment of a current board
member by that board, the reasoning of the Court is relevant
here:
When public officers, such as the members of
a town board, are vested by the legislature
with power of appointment to office, a
genuine responsibility is imposed. It must
be exercised impartially, with freedom from a
suspicion of taint or bias which may be
against the public interest. An appointing
board cannot absolve itself from the charge
of ulterior motives when it appoints one of
its own members to an office. It cannot make
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a difference whether or not his own vote was
necessary to the appointment. The
opportunity improperly to influence the other
members of the board is there. No one can
say in a given case that the opportunity is
or is not exercised. What influenced the
other members to vote as they did, no one
knows except themselves. Were their motives
proper, based solely on the fitness of the
appointee? They may have been. Were they
improper, based on the promise or expectation
of reciprocal favors?
Id., p 125.
Thus, the Court in Whitehall reasoned that the power of
appointment must be exercised impartially with freedom from a
suspicion of taint or bias. That standard cannot be met where
there is the opportunity improperly to influence the other
members of the board. The Court found that the opportunity is
present when a member of the board is appointed to a position.
Returning to your inquiry, the town board member would
resign prior to the appointment by the town board to fill the
vacancy in the office of zoning enforcement officer. While these
facts distinguish your inquiry from those in Whitehall, one can
envision circumstances under which the reasoning of the Whitehall
case would apply to appointment of a former board member.
Op Atty Gen (Inf) 87-4. For example, if a board decides to
appoint one of its current members to fill a vacancy at a future
date, following his resignation from the board, the key elements
of the Whitehall decision will be present. Id. The prospective
appointee, as a member of the board, would have an opportunity
improperly to influence fellow board members. The public
reasonably may question whether the appointment was made solely
in the public interest after consideration of other interested
candidates.
We have found, however, that section 64(5) of the Town Law
authorizes such an appointment. Op Atty Gen (Inf) No. 87-79.
A person, otherwise qualified, who is a
member of the town board at the time the
vacancy occurs may be appointed to fill the
vacancy provided that he shall have resigned
prior to such appointment.
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Town Law § 64(5). We found that this provision is applicable to
filling of a vacancy in a town office and, therefore, can be
applied to the position of zoning enforcement officer. Id.,
Op Atty Gen (Inf) No. 87-79.
We conclude that a member of the town board may resign from
the board in order to be appointed to fill a vacancy in the
position of zoning enforcement officer.
The Attorney General renders formal opinions only to
officers and departments of State government. This perforce is
an informal and unofficial expression of the views of this
office.
Very truly yours,
JAMES D. COLE
Assistant Attorney General
in Charge of Opinions