The Honorable Bill Strait Prosecuting Attorney Fifteenth Judicial District P.O. Box 460 Dardanelle, AR 72834
Dear Mr. Strait:
This is in response to your request for an opinion on the following questions:
1) Does the County Sheriff and Collector have any legal authority to `forgive' or alter the amount due from any taxpayer for property taxes?1
2) If this is not allowed, is it `illegal' and could it be the basis for any civil or criminal sanctions?
You have asked me to consider the following specific example:
John Smith dies in March of 1993. In October, one of John Smith's children comes in and advises the Collector that John had died in March. The Collector or someone in his office then makes an `adjustment order' which essentially removes the obligation to pay the taxes. Since taxes are paid a year behind, the estate is forgiven a year's taxes in which Mr. Jones is actually alive in addition to a prorated portion of the current year taxes.
In response to your first question regarding the sheriff/collector's general authority to `forgive' or `alter' taxes due, it is my opinion that the answer is "no," unless perhaps by `alter' you mean a change resulting from the correction of errors in the real or personal property tax books (A.C.A.
With regard to the specific example set forth in your request, I have found no authority for forgiving the taxes that are owing. It must be noted in this regard that the taxes are "a charge upon the real and personal property taxed. . . ." A.C.A.
With regard to payment of the tax, an executor or administrator has a duty to pay taxes assessed on real property that is in his or her care. A.C.A.
It is clear from the above provisions that taxes assessed on the property of an estate must be paid. The taxes cannot be forgiven. Thus, in response to your second question, it would generally be correct to say that an attempt to "forgive" taxes is "illegal" in that there is no legal authority for such action. With regard to the applicability of any sanctions, a conclusive determination would of course require a review of the particular facts and circumstances. According to my research, however, there are no civil or criminal statutory penalties addressed specifically to altering or forgiving taxes contrary to law. Consideration should perhaps be given to the Code provision governing removal from office for, inter alia, misfeasance in office. A.C.A.
The foregoing opinion, which I hereby approve, was prepared by Assistant Attorney General Elisabeth A. Walker.
Sincerely, WINSTON BRYANT Attorney General
WB:cyh
