Stuart I. Greenberg, Esq. Village Attorney, Harriman
You have asked whether a village police officer is entitled to reimbursement for legal expenses incurred in the successful defense of a criminal action or whether the village may reimburse the police officer under these circumstances. You have explained that this individual has been indicted for criminally negligent homicide in relation to the death of a prisoner in the police officer's care.
Every city, county, town and village is liable for any negligent act or tort of a police officer provided that the negligent act or tort is commited while the officer is acting in the performance of his duties and within the scope of his employment (General Municipal Law, §
Section
Section
Subsequent to Wassef, the Public Officers Law was amended by adding section 19. This provision requires the State to pay reasonable attorney's fees and litigation expenses incurred by a State employee in his or her defense of a criminal proceeding arising out of any act occurring while such employee was acting within the scope of his public employment or duties, upon his acquittal or upon the dismissal of the criminal charges against him (id., § 19 [2] [a]). There is no provision parallel to section 19 that is applicable to local governments.
This, however, does not end the inquiry. The authority of local governments to provide for defense and indemnification by a local enactment has been recognized (see, Corning v Laurel Hollow,
"Had the Legislature desired to make section 18 the exclusive format for defense and indemnification, it could easily have so provided. Instead, local governing bodies expressly are given the option of retaining local enactments and supplementing them through the application of section 18" (ibid.).
We believe that a local government by local law may authorize the reimbursement of defense costs and litigation expenses of an officer or employee in a criminal action resulting in acquittal or the dismissal of charges (Municipal Home Rule Law, §
We conclude that a village may authorize the reimbursement of legal expenses of an employee incurred in the successful defense of a criminal action. Such reimbursement, however, is not authorized by section
