Thomas A. Glinstra, Municipal Counsel City of Olathe P.O. Box 768 Olathe, Kansas 66051-0768
Dear Mr. Glinstra:
As municipal counsel for the city of Olathe you request our opinion regarding the scope of K.S.A. 1993 Supp.
The language of K.S.A. 1993 Supp.
The pertinent part of K.S.A. 1993 Supp.
"The director of taxation shall provide, upon request by a city or county clerk or treasurer of any city or county levying a local retailers' sales tax, a monthly report identifying each retailer having a place of business in such city or county and setting forth the amount of such tax remitted by each retailer during the preceding month. Such report shall be made available to the clerk or treasurer of such city or county within a reasonable time after it has been requested from the director of taxation. The director of taxation shall be allowed to assess a reasonable fee for the issuance of such report. Information received by the city or county pursuant to this section shall be confidential, and it shall be unlawful for any officer or employee of such city or county to divulge such information in any manner. Any violation of this paragraph by a city or county officer or employee is a class B misdemeanor, and such officer or employee shall be dismissed from office." (Emphasis added.)
The emphasized portions of the statute point out a facial ambiguity. Initially, because only a city or county treasurer or clerk may request the sales tax report, it appears that no one else may review it. However, the statute's confidentiality and penalty provisions speak to any city or county officer or employee thus indicating that other officers and employees may have access to the report. When the provisions of a statute are ambiguous, the court may look beyond the language of the statute to determine legislative intent. Kansas Powerand Light Co. v. State Corp. Com'n,
K.S.A. 1993 Supp.
"The director of taxation shall examine all returns filed under the provisions of [the Kansas retailers' sales tax] act, and shall issue final determinations of tax liability. . . ." See also K.S.A. 1993 Supp.
79-3226 .
K.S.A.
"All information received by the director from returns filed under this act . . . shall be confidential, except for official purposes, and it shall be unlawful for any officer or employee of such director to divulge any such information in any manner, except in accordance with a proper judicial order, or as provided in K.S.A.
74-2424 , and amendments thereto. . . ." See also K.S.A. 1993 Supp.79-3234 (b), as amended by L. 1994, ch. 188, sec. 3.
There is no provision specifically allowing anyone other than the director of taxation to review returns, yet the language of K.S.A.
However, the confidentiality provision contained in K.S.A. 1993 Supp.
In our opinion K.S.A. 1993 Supp.
Very truly yours,
ROBERT T. STEPHAN Attorney General of Kansas
Julene L. Miller Deputy Attorney General
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