The Honorable Tom Bradley State Representative, Fifty-Second District State Capitol, Room 174-W Topeka, Kansas 66612-1504
Dear Representative Bradley:
You request our opinion regarding whether an electronic bingo facilitator known as FortuNet 2000 may legally be used in the state. Specifically, you asked whether this machine satisfies the criteria for bingo games defined as "call bingo" pursuant to K.S.A. 1994 Supp.
The information you have provided indicates that Fortunet 2000 is essentially a computerized bingo card system. Bingo players utilizing a Fortunet terminal can play from 1 to 256 bingo cards per game. When the player marks on the screen the number called, each card being played by that player is likewise marked automatically. Players must be present at the physical location of the caller to play.
The Kansas Supreme Court recently discussed the characteristics common to "bingo games" as that term is used in the constitutional provision allowing the conduct of such games. Kan. Const., art.
"`Call Bingo'" means a game in which each participant must pay a charge and a prize or prizes are awarded to the winner or winners in which each participant receives one or more cards or in which a card or cards are included in a paper game program booklet each of which is marked off into 25 squares arranged in five horizontal rows of five squares each and five vertical rows of five squares each, with each square being designated by number, letter or combination of numbers and letters, and only the center square designated with the word "free," with no two cards being identical, with the players covering squares as the operator of such game announces a number, letter or combination of numbers and letters appearing on an object selected by chance, either manually or mechanically from a receptacle in which have been placed objects bearing numbers, letters or combinations of numbers and letters corresponding to the system used for designating the squares, with the winner of each game being the player or players first properly covering a predetermined and announced pattern of squares upon the card or a card which is included in a paper game program booklet being used by such player or players." K.S.A. 1994 Supp.
79-4701 (b).
It is a fundamental rule of statutory construction that effect must be given to the purpose and intent of the legislature when that intent can be ascertained. Johnson v. McArthur,
In addition to the use of a "card," the statutory definition of "call bingo" defines the permissible method of playing the game. The definition requires in summary that an object be selected by chance, the number or letter on the object be announced by the operator of the game, and the winner of the game is the player who first covers a predetermined pattern of squares on the card. K.S.A. 1994 Supp.
The facts that we have been provided indicate that the FortuNet 2000 is merely a bingo player aid whereby the cards used by the players are displayed on a video screen. The operator of the game must still draw an object imprinted with a number or letter which is announced to the players. The players must use an electronic dauber to cover the space on the cards being played. Other than providing a more convenient way for players to keep track of the cards that they purchase and removing physical restraints so that more cards may be played by each person per game, it appears from the facts provided to us that the use of this machine in no way changes the essential characteristics of the bingo games legalized by K.S.A. 1994 Supp.
You next inquire whether the above described machine falls within the definition of a "gambling device" pursuant to K.S.A. 1994 Supp.
"(A) Any so-called "slot-machine" or any other machine, mechanical device, electronic device or other contrivance an essential part of which is a drum or reel with insignia thereon . . ."
"(B) any other machine, mechanical device, electronic device or other contrivance (including, but not limited to, roulette wheels and similar devices) which is equipped with or designed to accommodate the addition of a mechanism that enables accumulated credits to be removed, is equipped with or designed to accommodate a mechanism to record the number of credits removed or is otherwise designed, manufactured or altered primarily for use in connection with gambling, and (i) which when operated may deliver, as the result of chance, any money or property, or (ii) by the operation of which a person may become entitled to received, as the result of chance, any money or property; . . ." (Emphasis added.)
We have been informed that the device in question does not contain a "drum or reel with insignia thereon," and therefore, must meet the definition set forth in (B) in order to be classified as a "gambling device." We are also informed that the FortuNet 2000 is not a mechanism that is equipped with or designed to accommodate accumulated credits which may be removed, and that the machine may not deliver any money or property to the user. The question then becomes whether the FortuNet 2000 was designed primarily for usein connection with gambling and whether by the operation of the device, a person may become entitled to receive, as a result of chance, any money or property.
Based on the description of the device that has been provided to us, we do not believe that it is the operation of the device which entitles a player to receive money or property. Rather, it is the participation in a legitimate game of bingo which entitles the player to receive a prize. A player who correctly covers the appropriate pattern of squares would be entitled to receive the established prize regardless whether that player was using a paper card or an electronic one. In this way, FortuNet 2000 is simply an electronic version of the card used to play bingo, not a gambling device in and of itself. Further, because use of FortuNet 2000 in conjunction with a licensed bingo operation is permissible under the bingo act, it would not meet the definition of "gambling" set forth in K.S.A. 1994 Supp.
As yet, there is no case law interpreting the recently enacted language of K.S.A. 1994 Supp.
In conclusion, as presented to us, FortuNet 2000 is a facilitator which serves as an electronic card for use in legal bingo operations. As such, its use is consistent with the definition of "call bingo" in K.S.A. 1994 Supp.
Very truly yours,
CARLA J. STOVALL Attorney General of Kansas
Julene L. Miller Deputy Attorney General
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