Untitled Texas Attorney General Opinion

The Attorney General of Texas May 2, 1979 MARK WHITE Attorney General Honorable Wilson R. Speir, Director Opinion NO. MI+16 Texas Department of Public Safety 5905 N. Lamar Boulevard Re: Whether defensive driving Austin, Texas 70773 and similar courses are ITqUired to be licensed under article 4413(29c), V.T.C.S. Dear Colonel Speir: 160 ‘. You have requested our opinion regarding the licensing of commercial driver-train&.‘schools and instructors. You ask whether article 4413(29C), V.T.C.S., requires the Department of. Public Safety to license courses in driver-training which izonsist only of remedial classroom instruction. E 123win. suite610 art. 67Old, S 143A. Article 4413(29c) provides in part: Hornton. TX.-nom 7W22847Ol Section 1. (a) ‘Commercial driver-training school’ or ‘school’ means any enterprise conducted by an individual, association, ,partnership, or corporation, for the education and training of persons, either practically or theoretically, or boa. to operate or drive motor vehicles and charging a consideration or tuition for such services. . ... z-xlMain Plan.suite400 SanAnmtl+n. TX.7szes 51~191 Sec. 2. No person, firm, association, partnership, or corporation shall operate a commercial driver- training school after January I, 1968, unless a license AnEqualoppmunity, as a commercial driver-training school has been *“irm*tiYd Action Efql(oyar secured from the Texas Department of Public Safety, provided that training or classes conducted by colleges, universities, high schools, and junior high schools for regularly enrolled students as a part of the normal program for such institutions shall be exempt. p. 46 Honorable Wilson E. Speir - Page Two (I%+16) We believe that the Ianguage of the statute is clear. Regardless of the remedial nature or the absence of vehicular use in the classroom instruction, no enterprise which charges a fee may conduct driver-training education “either practically or theoreticallv” without securing a license from the deparlment. You also ask if lhe department can establish different calegories of licenses and waive the issuance requirement for schools designed to provide classrcom instruction only. Section 4 provides that Tblefore the Department of Public Safety shall issue such license, the person, firm, association, partnership, or corporation shall” execute a bond and maintain motor vehicle liability insurance. See Ins. Code S 5.01. Once the license is issued the licensee is permitted to use motor vehicles in the driving,instruction. There is no provision in the statute for those entities which do not use vehicles in their instruction to be exempted from the bond and insurance requirement of section 4. There is only one category of license, and since that license permits the use of a motor vehicle, we believe we are bound by the literal. language of the statute which prohibits licensing unless liability insurance is mainlamed. You as;k whether the department may by regulation construe the term “consideration or tuition” as used in s&lion I(a). The department has general .rule-making authority. articles 4413(4! and 4413(29c), section (4#d), V.T.C.S., and thus we believe the department has the authority to issue reasonable rules construing vconsideration or tuition.” Gerst v. Oak Cliff Savings and Loan Ass’n, 432 S.W.2d 702 (Tex. 1966); see Attorney General Opinion M-682 (1970). The critical factor in determining whether cgency has exceeded its rule-making powers is that the regulation must be in harmony with the general objectives of the statute. Jefco v. Lewis, 520 S.W.2d 915 (Tex. Civ. App. - Austin 1975. writ refu n.r.e.). SUMMARY Enterprises offering classroom driving instruction for a fee must be licensed by the Department of Public Safety as per article 4413(29c), V.T.C.S. ‘A* MARK WHITE Attorney General of Texas JOHN W. FAINTER. JR. First Assistant Attorney General TED L. HARTLEY Executive Assistant Attorney General Prepared by David B. Brooks Assistant Attorney General D. 47 Honorable Wilson E. Bpeir - Page Three (‘4w-16) APPROVED: OPINIO?l COMMlTTEE C. Robert Heath, Chairman David B. Brooks Rick Gilpin .~ Renea Hicks Charles J. Maddox, Jr. William G Reid Bruce Youngblood p. 48