State ex rel. St. Clair Township Board of Trustees v. Hamilton

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The Supreme Court denied the writ of mandamus sought by the St. Clair Township Board of Trustees (St. Clair) seeking to compel the City of Hamilton and its officers (Hamilton) to calculate and pay lost tax revenue associated with territory that was annexed to the city before March 27, 2002 but not excluded from the township until 2016, holding that St. Clair was not entitled to relief.On March 27, 2002, S.B. 5 became effective. Under Ohio Rev. Code 709.19(B), as amended by S.B. 5, a municipality was to pay a township for lost tax revenue associated with the municipality’s annexation of territory of any township only when territory had been annexed and excluded as prescribed by Ohio Rev. Code 503.07, with the payments commencing upon exclusion. In 2016, the General Assembly repealed the S.B. 5 version of section 709.19. After the current version of section 709.19 took effect, the city created Hamilton Township, which consisted of the parts of the townships, including St. Clair, that the city annexed before the effective date of S.B. 5. Thereafter, St. Clair sought lost-tax-revenue payments from Hamilton. Hamilton refused to pay. St. Clair sought a writ of mandamus. The Supreme Court denied relief, holding that St. Clear did not establish a clear legal right to the relief requested. View "State ex rel. St. Clair Township Board of Trustees v. Hamilton" on Justia Law