Mr. Theodore E. Johnson, Jr.

Attorney General of Louisiana — Opinion
December 17, 1998

La. R.S. 15:31

Unregulated device, which upon insertion of cash or currency, dispenses prepaid phone cards along with a randomly determined chance to win cash constitutes a “slot machine” under La. R.S. 27:24(44) and “illegal gambling device” under La. R.S. 15:31.

Mr. Theodore E. Johnson, Jr. Assistant District Attorney Twenty-Sixth Judicial District P.O. Box 69 Benton, Louisiana 71006

RICHARD P. IEYOUB

Dear Mr. Johnson:

This office is in receipt of your letter dated November 5, 1998 requesting an opinion regarding the legality of an activity referred to as the “Lucky Strike Sweepstakes Promotion.” This activity in conjunction with the phone card dispensing machine is virtually identical to the subject of Attorney General Opinion 98-142.

Attorney General Opinion 98-142 concluded that the “Lucky Shamrock phone card dispenser sweepstakes promotion” incorporated an “illegal gambling device” or “slot machine” as provided in La. R.S. 15:31 and La. R.S. 27:44(24), respectively.

Accordingly, it is the opinion of this office that the device described in the “Lucky Strike Sweepstakes Promotion” appears to fall under the definition of “slot machine” as provided in La. R.S. 27:44(24) and is therefore prohibited under La. R.S. 15:31.

A copy of Attorney General Opinion 98-142 is attached for your information. Please call if this office may be of further assistance.

Very truly yours,

Richard P. Ieyoub ATTORNEY GENERAL
By: __________________________ Thomas A. Warner, III Assistant Attorney General

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Date Received:

Date Released:

Thomas A. Warner Assistant Attorney General

State of Louisiana
RICHARD IEYOUB DEPARTMENT OF JUSTICE ATTORNEY GENERAL GAMING DIVISION BATON ROUGE
70801-4307 339 FLORIDA ST., SUITE 500 P.O. BOX 44907 JUNE 25, 1998 TELEPHONE (504) 342-2465 Opinion No. 98-142 FAX (504) 342-4244

OPINION 98-142 Sheriff Jack A. Stephens La. R.S. 15:31
St. Bernard Parish Sheriff’s Department Unregulated device, which upon St. Bernard Parish Courthouse Annex insertion of cash or currency, P.O. Box 168 dispenses prepaid phone cards Chalmette, LA 70044 along with a randomly determined chance to win cash constitutes a “slot machine” under La. R.S. 27:24(44) and “illegal gambling device” under La. R.S. 15:31.

RICHARD P. IEYOUB

Dear Sheriff Stephens:

This office is in receipt of your letter dated March 17, 1998 requesting an Attorney General Opinion as to the legality of the “lucky shamrock phone card dispenser sweepstakes promotion.”

Your letter included photographs of the “Lucky shamrock phone card dispenser” as well as sample tickets, Opinions of the Kansas and Texas Attorney Generals’ Offices, other letter opinions and literature. From review of the documentation provided it appears that the phone card dispenser, operated in accordance with the literature, constitutes an illegal gambling device, which is prohibited in the State of Louisiana. Having concluded the phone card dispenser is an illegal gambling device under Louisiana law, it is unnecessary to address the multitude of other legal issues raised in the material provided.

The relevant statutory provisions are La. R.S. 15:31 and 27:44
(formerly 4:505).

La. R.S. 15:31 provides in part:

A. (1) All law enforcement officers of municipal police forces, sheriffs’ departments, and the division of state police are hereby authorized and empowered and it is made mandatory and compulsory on their part to confiscate and immediately destroy all gambling devices or machines used for gambling that come to their attention.
(2) Any gaming device or equipment in possession of a licensed manufacturer, seller, distributor, transporter, or repairman in this state shall not be subject to confiscation and destruction unless such device or equipment is being used for unlawful gambling activities. If such confiscated device or equipment is considered an antique under Louisiana law, the device may be sold and such proceeds shall go to the office of state police fund as provided in R.S. 47:7001.

B. As used in this section the term “gambling device” means:

(1) any slot machine; or (2) any machine, mechanical or electronic device of any sort whatsoever with a cash automatic payout device; or (3) a pinball or other ball machine, mechanical or electronic device equipped with a mechanism to release the number of free games or replays and a mechanism to record the free games or free plays so released.

“Slot machine” is not defined under La. R.S. 15:31, however, La. R.S. 27:44 (24) provides:

(24) “Slot machine” means any mechanical, electrical, or other device, contrivance or other machine, which, upon insertion of a coin, token, or similar object therein or upon payment of any consideration whatsoever, is available to play or, operate the play or operation of which, whether by reason of the skill of the operator or application of the element of chance, or both, may deliver or entitle the person playing or operating the machine to receive cash, premiums, merchandise, tokens, or anything of value, whether the payoff is made automatically from the machine or in any other manner.

It is assumed, for the purposes of this Opinion, that the device is not intended to be permitted and regulated under the provisions of La. R.S. 27:41 et seq., the Louisiana Riverboat Economic Development and Gaming Control Act, La. R.S. 27:201 et seq., the Louisiana Economic Development and Gaming Corporation Law, La. R.S. 27:351 et seq., the Louisiana Pari-mutuel Live Racing Facility Economic Redevelopment and Gaming Control Act, La. R.S. 33:4861.1 et seq., the Charitable Raffles, Bingo and Keno Licensing Law, or R.S. 47:9000 et seq., the Louisiana Lottery Corporation law.

The device in question appears to meet all requirements of a “slot machine” as defined at La. R.S. 27:44 (24). It is noted that the device resembles a traditional casino-type slot machine with simulated or actual spinning reels and payout slot. In addition to receiving a phone card, a player may win from one dollar to five hundred dollars depending on certain configurations of characters or denominations on the phone cards dispensed from the machine.

It is therefore, the “element of chance” as provided in La. R.S. 27:44 (24) which entitles the person who has deposited coin, cash or other consideration to receive cash, premiums, or anything of value. La. R.S. 27:24 (44) does not make a distinction between 1) a device which dispenses playing pieces where winners have been determined randomly prior to being loaded into the device and 2) a device equipped with a random number generator or other method for the device to determine winning plays.

Accordingly, it is the opinion of this office that the device described known as the “lucky shamrock phone card dispenser” appears to fall under the definition of slot machine in La. R.S. 27:44 (24) and is therefore prohibited under La. R.S. 15:31.

Sincerely,

Richard P. IeyoubATTORNEY GENERAL

By: __________________________ Thomas A. Warner, III Assistant Attorney General

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