History:
L. 1947, ch. 411, § 1; Repealed, L. 1980, ch. 164, § 47; July 1.
CASE ANNOTATIONS
1. Business broker selling assets of corporation including real property is a real estate broker and must be licensed to recover commission. Thomas v. Jarvis, 213 Kan. 671, 673, 518 P.2d 532.
2. Regulation of commission (86-3-8(a)) operated as statute of frauds; void; oral contract between principal and agent to sell realty. Marcotte Realty & Auction, Inc. v. Schumacher, 225 Kan. 193, 197, 589 P.2d 570.
Media Servs. Grp., Inc. v. Lesso, Inc., 45 F. Supp. 2d 1237 (D. Kan. 1999). · cites it 2דIn looking at the Brokers’ License Act in place at the time, K.S.A. § 58-3001 et seq. (Supp.1972), the Thomas court drew the following conclusions: [T]he statutory language used in [section] 58-3002 is determinative of the issue in the present case.”
Marcotte Realty & Auction, Inc. v. Schumacher, 589 P.2d 570 (Kan. 1979). “58-3015. This section of the Act enumerates 19 grounds which authorize the Kansas Real Estate Commission “to suspend or revoke any license issued under the provisions of” the Act, in addition to the making of material false or fraudulent representations in obtaining the license.”
Thomas v. Jarvis, 518 P.2d 532 (Kan. 1974). “The regulation of real estate brokers and sales is found in the Kansas Real Estate Brokers' License Act, K.S.A. 58-3001, et seq. K.S.A. 1972 Supp.”
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