Honorable Hugo Berlanga Chair Committee on Public Health Texas House of Representatives P.O. Box 2910 Austin, Texas 78768-2910
Re: Authority under state law of a state university to regulate parking by the disabled on campus (RQ-730)
Dear Representative Berlanga:
You present questions about a state university's regulation of parking by disabled persons on campus.
Education Code section
V.T.C.S. article 6675a-5e.1 provides for the issuance by a county tax assessor-collector of special license plates and/or removable windshield cards to eligible disabled persons residing in the county. Section 6 of the article provides:
(a) Any vehicle upon which such special license plates are displayed or in which a removable windshield identification card is placed . . ., when being operated by or for the transportation of a disabled person, shall be allowed to park for unlimited periods in any parking space or parking area designated specifically for the physically handicapped.
(b) The owner of a vehicle on which the special license plates are displayed or in which a removable windshield identification card is placed . . ., is exempt from the payment of fees or penalties imposed by a governmental authority for parking at a meter or in a space with a limitation on the length of time for parking, unless the vehicle was not parked at the time by or for the transportation of a disabled person. This exemption does not apply to fees or penalties imposed by a branch of the United States government. This section does not permit parking a vehicle at a place or time that parking is prohibited.
You ask whether, in view of the provisions of section 6, a state university may require that a disabled person, with article 6675a-5e.1 special license plates or a windshield card displayed on his vehicle (hereinafter a "disabled vehicle"), who wishes to park in disabled parking places on campus, obtain a "campus parking permit," "[o]r even [a] temporary visitor pass," and pay university fees associated therewith.
In our opinion, Education Code section
Accordingly, the university may require that students, faculty and staff, even if they are disabled, register vehicles under sections
Yours very truly,
DAN MORALES Attorney General of Texas
JORGE VEGA First Assistant Attorney General
SARAH J. SHIRLEY Chair, Opinion Committee
Prepared by William Walker Assistant Attorney General
[1] We note that we do not attempt here to anticipate or resolve all issues which may arise in the context of state university authority over campus parking under the provisions of article 6675a-5e.1. For example, as you do not specifically raise the issue, we do not address here the effect of article 6675a-5e.1 in situations where the university collects its parking fees through the use of ordinary parking meters.
