Untitled Texas Attorney General Opinion

August 3, 1948 Hon. Howard Granberry, M.D. Chairman State Board of Health Austin, !exas Opinisn No. V-646 Re: Authorit of State Board of Healtiito rescind a regulation of State Health Officer. Dear Dr. Cranberry: Your opinion request states that in September, 1939, pursuant to Articles l+l+65Aand 4466, the State Health Officer promulgated rules regulating the manufac- ture of ice cream. On June 1, 1948, he issued revised regulations which provide that: "Ice cream is a clean frozen, dairy product made from cream ,milk'or milk prod- ucts, and sugar, with.or without a harmless flavoring and with or without eggs or egg products, and contains not less than 8 per- cent of~milk fat and may contain one-half of one percent of harmless.stabilizer and shall not contain any fats or oils other than milk'fat, and shall weigh not less than 4.5 pounds per gallon." There~are variations for "fruit ice cream" and "nut ice cream" which are not relevant here. On June 14,'1948 the'state Board of Health repealed the State Health bfficer(s regulation of June 1, 1948, and issued the following~in its place: "All ice cream shall contain not less than 8 percent butter fat and not less than 4 percent vegetable fat if vegetable fat is added, and that all ice cream manufac- tured, whether under the new process or the old process, shall state on thenlabel just what it contains and the percentage of each." Hon. Howard Granberry, N.D., Page 2 (V-646 ) Your question is: "Was the action of the~State Board- of Health a valid procedure, and if not, are the regulations issued by the State Health Officer as of June 1st 1948 the present official regulations?" The respective duties of the State Board of Health (called the Board) and the State Health Officer are created and defined by Acts of the Legislature. By Article 4414a, the State Department of Health consists of the State Board of Health and the State Health Offi- cer. The Health Officer is employed by the Board. It has the power to remove him for cause after notice and hearing. The Board is authorized to investigate the work of the State Department of Health, and is em- powered to adopt rules for its own procedure. Art. 4418a. The Board is given general supervision and con- trol "of all matters pertaining to the health of the citizens of this State." It is empowered to make stud- ies, inspections, and investigations. It is given con- trol over sanitary and quarantine measures, and has many similar powers. Arts. 4419-4421. But it is nowhere au- thorized to promulgate rules such as are here involved, nor to repeal any regulation duly issued by the Health Officer. The Health Officer, on the other hand, is ex- pressly empowered by the Legislature with rule making power. Thus Article 4466 provides that he shall: Vmke , publish and enforce rules con- sistent with this law, and adopt standards for foods, food products, beverages, drugs, etc. . . ." By way of contrast, with reference to the in- ternal management of the Department, Article 4418d pro- vides that: "He (the Health Officer) shall have the power,'with.the accroval of the State Board of Health? to prescribe and promul- sate such administrative rules and regu- rations . . . as may be deemed necessary for the effective performance of the duties . Hon. Howard Granberry, M.D., Page 3 (v-646) imposed by this or any other law upon the State Department of Health and its sever- al.officers and divisions." You are therefore respectfully advised that under the respective powers given by the Legislature, the Health Officer is authorized to promulgate rulEi and adopt standards for food and food products. State Board is not authorized to repeal such regula- tions or to promulgate it& erder of June 14, 1948. As- suming-that the regulations of the Health,Officer lf June 1, 1948, are in other respects valid, they consti- tute the present official regulations on the subject. The State Board of Health is not em- powered to repeal a health regulation of the State Health Officer duly issued un- der Article L&66. Yours very truly, ATTORNEY GENERAL OF TEXAS 5?JLdu Joe R. Greenhill Executive Assistant JRG:erc ATTORNEY GENERAL