Dolan_v._City_of_Tigard

<i>Dolan v. City of Tigard</i>

Dolan v. City of Tigard

1994 United States Supreme Court case


Dolan v. City of Tigard, 512 U.S. 374 (1994), more commonly Dolan v. Tigard, is a United States Supreme Court case.[1] It is a landmark case regarding the practice of zoning and property rights, and has served to establish limits on the ability of cities and other government agencies to use zoning and land-use regulations to compel property owners to make unrelated public improvements as a condition to getting zoning approval, citing the violation of the Fifth Amendment’s Takings Clause.[2][3]

Quick Facts Dolan v. City of Tigard, Argued March 23, 1994 Decided June 24, 1994 ...

Facts

Bike path at issue

Petitioner Dolan, owner and operator of A-Boy Plumbing & Electrical Supply store in the city of Tigard, Oregon, applied for a permit to expand the store and pave the parking lot of her store. The city planning commission granted conditional approval, dependent on Dolan dedicating land to a public greenway along an adjacent creek, and developing a pedestrian and bicycle pathway in order to relieve traffic congestion. The decision was appealed to the Oregon State Land Use Board of Appeals (LUBA), alleging that the land dedication requirements were not related to the proposed development, and thus constituted an uncompensated taking of her property, which is disallowed by the Fifth Amendment. LUBA found a reasonable relationship between the development and both conditions of the variance, as the larger building and paved lot would increase runoff into the creek, and the impact of increased traffic justified the requirement for a pathway. The decision was subsequently affirmed by the Oregon State Court of Appeals and the Oregon Supreme Court.[4] The case was appealed to the Supreme Court of the United States.[5]

Decision

The Supreme Court overturned the state Land Use Board of Appeals and the Oregon appellate courts. The Court held that under the doctrine of unconstitutional conditions, a government agency may not require a person to surrender constitutional rights in exchange for discretionary benefits, where the property sought has little or no relationship to the benefit conferred. A two-prong test was applied: Whether or not there is an "essential nexus" between the permit conditions and legitimate state interest, and whether or not the degree of the exactions required by the permit condition bears the required relationship to the projected impact of the proposed extra development.

The Court held that the first condition had been satisfied. However, the Court ruled that the City failed to make an individualized determination that the required dedications are related, in both nature and extent, to the proposed impact. Further, the Court held that the requirement for a public greenway (as opposed to a private one, to which Dolan would retain other rights of property owners, such as the right of exclusive access), was excessive, and that the City failed to meet its burden of establishing that the proposed pathway was necessary to offset the increased traffic which would be caused by the proposed expansion.[6][7]

See also


References

  1. Dolan v. City of Tigard, 512 U.S. 374 (1994).
  2. Dolan v. City of Tigard, retrieved June 17, 2021
  3. "Dolan v. City of Tigard". Oyez. Retrieved October 13, 2021.
  4. Dolan v. City of Tigard, 854 P.2d 437 (Or. 1993).
  5. "U.S. Reports: Dolan v. City of Tigard, 512 U.S. 374 (1994)". Library of Congress. Retrieved June 17, 2021.
  6. Habicht, Craig (January 1, 1995). "Dolan v. City of Tigard: Taking a Closer Look at Regulatory Takings". Catholic University Law Review. 45 (1): 221–274.

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