West Virginia Board of Education v. Board of Education of the County of Nicholas

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The circuit court erred in granting a writ of mandamus in favor of the Nicholas County Board of Education (Board) requiring the West Virginia Board of Education and the State Superintendent of Schools (collectively, the WVBOE) to approve the Board’s amended consolidated educational facilities plan (CEFP), which constituted a prerequisite to the Board’s efforts to consolidate four Nicholas County schools and its Career and Technical Education Center. The circuit court found (1) the WVBOE lacks the authority to reject a county board’s CEFP if the county complies with certain regulatory requirements; and (2) the WVBOE’s stated reasons for rejecting the CEFP amendment were arbitrary and capricious. The Supreme Court held (1) the WVBOE is vested with authority to exercise its discretion in accepting or rejecting an amended CEFP, and mere procedural compliance with statutory and regulatory requirements does not entitle a county board of education to approval of its proposed plan; and (2) the reasons adopted by the WVBOE for rejection of the plan were neither arbitrary nor capricious. View "West Virginia Board of Education v. Board of Education of the County of Nicholas" on Justia Law