BOARD OF TRUSTEES, ETC. v. City of Huntington

96 S.E.2d 225
CourtWest Virginia Supreme Court
DecidedJanuary 28, 1957
Docket10850, 10851
StatusPublished
Cited by3 cases

This text of 96 S.E.2d 225 (BOARD OF TRUSTEES, ETC. v. City of Huntington) is published on Counsel Stack Legal Research, covering West Virginia Supreme Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
BOARD OF TRUSTEES, ETC. v. City of Huntington, 96 S.E.2d 225 (W. Va. 1957).

Opinion

96 S.E.2d 225 (1956)

The BOARD OF TRUSTEES OF POLICEMEN'S PENSION OR RELIEF FUND OF The CITY OF HUNTINGTON
v.
The CITY OF HUNTINGTON, a Municipal Corporation, et al.
The BOARD OF TRUSTEES OF FIREMEN'S PENSION OR RELIEF FUND OF The CITY OF HUNTINGTON
v.
The CITY OF HUNTINGTON, a Municipal Corporation, et al.

Nos. 10850, 10851.

Supreme Court of Appeals of West Virginia.

Submitted October 9, 1956.
Decided November 20, 1956.
Dissenting Opinion January 28, 1957.

*229 Ducker, Keadle & McCreight, Huntington, for relators.

Russell C. Dunbar, Huntington, for respondents. *226 *227

*228 RILEY, Judge.

These are companion proceedings in mandamus, in one of which the petitioner is the Board of Trustees of the Policemen's Pension or Relief Fund of the City of Huntington, a corporation, and in the other the petitioner is the Board of Trustees of the Firemen's Pension or Relief Fund of the City of Huntington, a corporation. In both proceedings the City of Huntington, a municipal corporation, George E. Theurer, Mayor of the City of Huntington, David Fox, Jr., Elmer Kitchen, C. J. Lattin, Roy O. Deskins, Jesse B. Simons, Jack L. Gibson, Harold R. Ridenour, Herman S. Rice, A. J. Meadows, James D. Boardwine, Charles A. Adkins, Milford Jenkins and Joe Duffey, as members of the Council of the City of Huntington, are respondents. The proceedings were instituted under the original jurisdiction of this Court, wherein petitioners in their respective petitions seek a peremptory writ of mandamus, commanding and directing the respondents to levy on each one hundred dollars valuation of real and personal property listed for taxation in the City of Huntington at a rate not to exceed three and one-half cents on each one hundred dollars of property valuation as will produce the amount of tax moneys necessary to pay in full the estimated expenditures submitted by the petitioners to the Council of the City of Huntington as the fiscal and levying body thereof for the fiscal year beginning July 1, 1956, and ending June 30, 1957.

In their respective petitions the petitioners allege that each is an existing corporation, created by ordinance of the City of Huntington, adopted on June 7, 1926, by the Council of the City of Huntington, a municipal corporation, under and by virtue of Code 1931, 8-6-14, as last amended and reenacted by Chapter 124, Acts of the Legislature 1955; that each petitioner is vested by law with the right and duty of administering the funds and property comprising the Policemen's and the Firemen's Pension or Relief Funds of the City of Huntington, and possesses all of the powers and duties as set forth in Code 1931, 8-6-14, as amended and reenacted.

The petition in which the Board of Trustees of the Policemen's Pension or Relief Fund is the petitioner further alleges that on June 11, 1956, the petitioner notified and informed the respondents herein of the petitioner's estimated expenses for the fiscal year beginning July 1, 1956, and ending June 30, 1957; and that on August 7, 1956, prior to the consideration by the Council of the City of Huntington of its budget and tax levies estimate for said fiscal year, the petitioner, the Policemen's Pension or Relief Fund of the City of Huntington, filed with the municipal corporation and the other respondents, as mayor and members of the city council, a written statement and report showing that the petitioner's estimated expenses for the fiscal year 1956-57 would amount to sixty-four thousand two hundred ninety-three dollars; and also showing that even if it were legal to apply and use the estimated sum of ten thousand two hundred fifty-one dollars, to be raised by a three per cent assessment against the salaries of the members of the police department of said municipal corporation, as *230 provided by statute, and the sum of six thousand two hundred twenty-two dollars estimated to be produced by police court fines, there would still remain estimated expenditures amounting to forty-seven thousand eight hundred twenty dollars, for the payment of which it would be necessary to levy taxes, which statement called upon the respondents to provide the necessary funds by tax levies under the provisions of Chapter 8, Article 6, Section 14, of the 1931 Code of West Virginia, as last amended and reenacted.

The petitioner in the petition in which the Board of Trustees of the Firemen's Pension or Relief Fund of the City of Huntington is the petitioner alleges that on or about the 17th day of May, 1956, said petitioner notified and informed the respondents named in the petition of the amount of petitioner's estimated expenses for the fiscal year, commencing on July 1, 1956, and ending on June 30, 1957; and that on the 7th day of August, 1956, prior to consideration by the Council of the City of Huntington of its budget and tax levies estimate for the year commencing on July 1, 1956, and ending on June 30, 1957, the petitioner filed with the respondent municipal corporation and the other respondents, as mayor and city council thereof, a written statement and reportshowing that petitioner's estimated expenditures for that fiscal year amounted to sixty thousand one hundred eighty-three dollars, and also showing that even if it were legal to apply and use the estimated sum of fourteen thousand and twenty-eight dollars, to be raised by a three per cent assessment against the salaries of the members of the fire department of said municipal corporation, as provided by Code 1931, 8-6-14, as last amended and reenacted, there would still remain estimated expenditures amounting to forty-six thousand one hundred fifty-five dollars, for the payment of which it would be necessary to levy taxes, which statement called upon the respondents to provide the necessary funds by tax levies under the provisions of Chapter 8, Article 6, Section 14, Code of West Virginia 1931, as last amended and reenacted.

In paragraph three of both petitions it is alleged that notwithstanding the report of estimated expenses made by the respective petitioners and without taking any exception to the accuracy and necessity thereof, the respondents at the meeting on August 7, 1956, prepared the proposed budget and tax levy estimates for the City of Huntington for the fiscal year 1956-1957, and included therein for the Board of Trustees of the Policemen's Pension or Relief Fund the sum of twenty-four thousand one hundred three dollars and a like amount for the Board of Trustees of the Firemen's Pension or Relief Fund, which is equivalent to a levy of exactly one cent on each one hundred dollars of property in the City of Huntington listed for taxation, the total assessed valuation of that property being shown in said budget and levy estimate as aggregating two hundred forty-one million twenty-eight thousand seven hundred dollars, and which one cent levy obviously would produce funds sufficient to pay only a small fraction of the estimated expenditures submitted by each of the petitioners named in the respective petitions.

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Bluebook (online)
96 S.E.2d 225, Counsel Stack Legal Research, https://law.counselstack.com/opinion/board-of-trustees-etc-v-city-of-huntington-wva-1957.