Texas Case Summaries
Federal Enforcement »

Wommack v. City of Lone Star — Court affirms dismissal because taxpayer lacked standing

Unreported / Non-Citable

Case
Cody Wommack v. City of Lone Star, Texas, Brianna McClain, Cyndi Andrews, Lesa Beard, Carrie McGinnis, Dawn Ferguson, and Keith Reiter
Court
Texas Sixth Court of Appeals
Judge
Stevens, C.J. (elected 2018); van Cleef (Greg Abbott, 2022); Rambin
Date Decided
August 27, 2026
Docket No.
06-25-00095-CV
Topics
Taxpayer Standing, Municipal Expenditures, Water Infrastructure, Subject-Matter Jurisdiction
Source
Read the full opinion

Background

Cody Wommack, proceeding pro se, sued the City of Lone Star and several city officials over plans to replace a damaged four-inch city water pipeline with a six-inch line. He alleged that the City was spending more than $250,000 in public funds to benefit Serenity, a gated development outside the city limits but within the City’s extraterritorial jurisdiction, and that the expenditure served no legitimate public purpose.

Documents attached to Wommack’s petition showed that the City had contracted with the Northeast Texas Municipal Water District for treated water to serve Serenity and had agreed to accept water infrastructure constructed and paid for by Serenity’s developer. Wommack sought to stop the allegedly illegal expenditures and obtain declarations that the City had no legal obligation to provide water to Serenity and that using public funds for that purpose was unconstitutional. The trial court dismissed his claims.

The Court’s Holding

The Sixth Court of Appeals affirmed, holding that Wommack lacked standing. Applying Texas’s narrow taxpayer-standing exception, the court explained that a taxpayer must plead an actual, measurable expenditure of public funds on allegedly illegal activity that would not otherwise have been made. An expenditure that is merely unwise or indiscreet is insufficient.

Wommack’s own petition showed that the existing city pipeline had suffered sun damage and required replacement to avoid a public-health danger. Because the City would have incurred the repair expense regardless of any benefit to Serenity, Wommack did not identify the added expenditure required for taxpayer standing. The petition also showed that Serenity customers would bear the cost of water supplied under the City’s contract and did not allege procedural defects in either the water-supply contract or the infrastructure-dedication agreement.

Key Takeaways

  • Texas taxpayer standing requires an allegedly illegal, measurable expenditure of public funds that would not otherwise have occurred.
  • A taxpayer cannot establish standing by challenging costs the government would incur independently of the disputed activity.
  • Wommack’s allegations showed that the City needed to replace its damaged pipeline for public-health reasons, defeating his reliance on taxpayer standing.

Why It Matters

The decision underscores the strict limits on taxpayer suits challenging municipal spending. A plaintiff must connect an allegedly illegal government action to a distinct added expenditure, not simply allege that a necessary public project also benefits a private development.

Leave a Comment

Your email address will not be published. Required fields are marked *

Scroll to Top