Exhibit 14

                              MERITAGE CORPORATION

                                 CODE OF ETHICS

     Meritage  Corporation  is committed to conducting  our business  consistent
with  the  highest  ethical  and  legal  standards.  This  Code  reinforces  our
commitment to these standards and provides each employee of Meritage, as well as
Meritage's affiliated and subsidiary companies, with guidance and perspective in
understanding business ethics at Meritage.

     It is designed to guide and help us identify  activities and behaviors that
are  appropriate  in  conducting  business  and those  that are not.  No code of
conduct can hope to spell out the appropriate moral conduct and ethical behavior
for every situation we may confront.  In the final analysis, we must rely on our
own good judgment.

     Whenever we find ourselves with a difficult  decision to make, we must seek
counsel from our colleagues,  our  supervisors  and, most  importantly,  our own
conscience  and common sense.  Specific  interpretation  or  application  of any
guidelines or other content of this Code should be requested from any one of the
following persons:


  
     Steve Hilton (SHILTON@MERITAGECORP.COM or 480-609-3330) the Company's Co-CEO;
     John Landon (JLANDON@MERITAGECORP.COM or 972-612-8085) the Company's Co-CEO;
     Rick Morgan (RMORGAN@LEGHOMES.COM or 972-612-8085), the Company's Treasurer; or
     Larry Seay (LSEAY@MERITAGECORP.COM or 480-609-3336), the Company's Chief Financial Officer;


YOUR RESPONSIBILITIES

     Meritage  believes  that  ethical  behavior  is  good  business.   Meritage
employees share certain  responsibilities,  but individually each is accountable
for:

     *    Conducting   Meritage's  business  with  integrity  and  operating  in
          compliance with all applicable laws.
     *    Avoiding  situations where personal interests are, or appear to be, in
          conflict with Meritage's interests.
     *    Treating all  customers,  suppliers and fellow  employees in an honest
          and fair manner.
     *    Safeguarding properly using Meritage's proprietary information, assets
          and resources, as well as those of other organizations.
     *    Maintaining confidentiality of nonpublic information and not acting on
          such information for personal gain.

     We are  sometimes  faced  with  situations  where  pressure  exists  to act
unethically.  However,  at  Meritage  we depend  on each  other to  conduct  our
business with honesty and  integrity.  If you are unsure in any  situation,  ask
yourself these questions:

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     *    Is this action legal?
     *    Does it comply with our values?
     *    Would you feel comfortable telling someone else about your decision?

     Compromises  in behavior that lead to violations of our standards  will not
be considered a benefit to the company and may result in disciplinary action, up
to and including termination of employment.

     Unethical  or  unlawful  behavior  hurts  Meritage,  but  also  hurts us as
employees,  our customers and our stockholders.  As an employee,  you can play a
major role in  ensuring  ethical  and legal  compliance  by  reporting  known or
suspected  wrongdoing within the company. If you discover or suspect an illegal,
dishonest or unethical act is being committed or a violation is reported to you,
we  want  you to  report  it  immediately  to  your  supervisor,  your  Division
President,  or John Landon and Steve  Hilton,  our  Co-CEO's;  Rick Morgan,  our
Treasurer; or Larry Seay our CFO. Employees will not be disciplined or otherwise
retaliated against as a result of reporting such matters.

CONFLICTS OF INTEREST

     All employees have a responsibility  to avoid situations and  relationships
that involve actual or potential conflicts of interest. Generally, a conflict of
interest arises whenever an employee's  personal  interests  diverge from his or
her responsibilities to Meritage or from Meritage's best interests.  Put another
way, a conflict of interest is created  whenever  an  activity,  association  or
relationship of yours might impair your independent  exercise of judgment in the
company's best interest.

     Examples of situations that could be perceived as conflicts of interest and
should be avoided include:

     *    Conducting  company  business with a firm owned,  partially  owned, or
          controlled by an employee or an employee's relatives or friends.
     *    Ownership of a financial interest in Meritage's competitors. Ownership
          of less than three percent of stock of a publicly  traded company that
          competes or does business with Meritage is permissible.
     *    Working as an employee or a consultant  for a  competitor,  regulatory
          governmental  entity,  customer or supplier of Meritage,  or doing any
          work for a third party that may adversely  affect your  performance or
          judgment on the job or diminish  your ability to devote the  necessary
          time and attention to your duties.
     *    Using company property, materials,  supplies, funds or other resources
          for personal  purposes,  or  appropriating  or diverting to others any
          business opportunity or idea in which Meritage might have an interest.

     These  situations,  and others like them, where loyalties to Meritage could
be  compromised,  must be avoided.  Employees who believe they are involved in a
potential  conflict of interest have a  responsibility  to discuss it with their
supervisor, your Division President or Meritage's Chief Financial Officer.

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GIFTS AND ENTERTAINMENT

     All decisions regarding the purchasing of materials,  supplies and services
must be made on the basis of competitive price, quality and performance in a way
that preserves  Meritage's  integrity.  Giving or accepting anything of value is
inappropriate if it could be reasonably  interpreted as an effort to influence a
business relationship or decision.  The difference between a gift and a bribe is
a  question  of intent.  It is  impermissible  to accept or request  any form of
kickback or bribe. A bribe or a kickback includes any item or favor provided for
the purpose of improperly obtaining favorable treatment or seeking a competitive
advantage.  Such efforts  should  never be used to  accomplish  indirectly  what
Meritage could not properly or legally do directly.

     In certain situations or on certain occasions, small gifts of nominal value
may be  presented  to  customers  or  potential  customers,  such  as  specialty
advertising items bearing the corporate logo, tickets to local sports,  civic or
cultural events and/or restaurant meals or refreshments.

     Standards  governing the acceptance of gifts from suppliers or their agents
mirror those relating to the giving of gifts to our customers  and/or  potential
customers,  in that  acceptance  of a  significant  gift could be  construed  as
improperly  influencing the selection of a vendor or the awarding of a contract.
Gifts of a nominal  value of less than $100 may be accepted on an  infrequent or
occasional basis,  such as during the holiday season,  as a reasonable  business
courtesy.  Routine entertainment by suppliers that is business related --such as
business meals, sports outings or cultural events --is acceptable.

     Ultimately,  each employee must exercise good business judgment in deciding
which situations are unacceptable. Bottom line: If there is ever any doubt as to
the  acceptability  of any gift or  entertainment  activity,  consult  with your
supervisor.

PROTECTION AND USE OF CORPORATE ASSETS

     All employees are  responsible for ensuring that  appropriate  measures are
taken to properly protect Meritage's corporate assets. Employees are expected to
assist  in the  protection  of all  confidential  and  proprietary  information,
including technical, financial, marketing and other business information, which,
if made available to Meritage's competitors or the public, would be advantageous
to such competitors and detrimental to Meritage.  Protection of such information
is critical to our ability to grow and compete.

     Meritage's  computer  systems,  electronic  mail  (e-mail),  voice mail and
Internet access are employer-provided technologies and company property. The use
of  Meritage's  computer  systems,  e-mail,  voice mail and Internet  access are
primarily  for  matters  of  concern  to  Meritage's  operations,  and  not  for
communications of a personal nature. Such non-business  related use should be on
an infrequent basis. Employees may not use these assets to display,  transmit or
store inappropriate materials at any time.

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ANTITRUST

     The free  enterprise  system  rests on the  proposition  that free and open
competition  is the best way to ensure an adequate  supply of goods and services
at reasonable prices. The antitrust laws of the U.S. are intended to protect and
promote  vigorous  and fair  competition.  All  Meritage  employees  must adhere
strictly  to both  the  spirit  and the  letter  of  antitrust  laws of the U.S.
Violation of antitrust  laws can result in severe civil and criminal  penalties,
including  imprisonment  for  individuals,  and  Meritage  can be  subjected  to
substantial fines and damage awards.

     All employees  must obtain advice from the Chief  Financial  Officer before
engaging in any conduct or practice that may be regulated by antitrust laws. The
Chief Financial Officer will consult as necessary with our outside legal counsel
on any such matters.

     The following agreements,  arrangements or understandings with competitors,
whether oral or in writing, should always be avoided:

     *    Agreements to fix prices or boycott specified suppliers.
     *    Agreements to allocate products, territories or markets.
     *    Agreements to exchange competitively sensitive information, especially
          prices.
     *    Agreements that limit the production or sale of our products.

     Contacts with  competitors are sensitive and risky,  since courts can infer
an agreement or collusion  from such  contacts  when they are followed by common
action or  behavior.  In all contacts  with  competitors,  employees  must avoid
discussing   prices,   terms  and  conditions  of  sale,   costs,   inventories,
competition,  marketing plans or studies, production plans and capabilities, and
any other proprietary or confidential information.

     If any competitor  initiates a discussion  involving the subjects above, an
employee should  immediately  excuse  himself/herself  from the conversation and
immediately report the matter to the Chief Financial Officer.

     Meritage  employees  should normally avoid all contacts with competitors if
they have  authority  over the pricing,  terms or conditions of sale of Meritage
homes.

INSIDER TRADING

     It is illegal to buy or sell securities  (either personally or on behalf of
others) on the basis of material,  nonpublic information.  It also is illegal to
communicate (i.e., to "tip") material,  nonpublic  information to others so that
they may buy or sell securities on the basis of that  information.  All Meritage
employees who know material,  nonpublic  information about Meritage or any other
company are prohibited from trading (directly or indirectly),  or tipping others
to trade in the securities of that company.

     Material,  nonpublic  information is factual  information that a reasonable
investor  would want to know before making an investment  decision.  Examples of
material, nonpublic information may include:

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     *    Quarterly or annual financial results
     *    Financial forecasts
     *    Significant financial developments
     *    Possible mergers, acquisitions, joint ventures or divestitures
     *    Information about important contracts
     *    Significant new developments

     These prohibitions continue for as long as the information you know remains
material and nonpublic.  Anyone who gives such  nonpublic  information to others
may be  subject  to  disciplinary  action  and  possible  criminal  prosecution.
Guidance on  questions  about  specific  transactions  should be  obtained  from
Meritage's Chief Financial  Officer in advance of the transaction.  In addition,
Meritage  maintains a detailed insider trading policy that must be complied with
by all employees.

ADVERTISING, MARKETING AND PROMOTION

     It is Meritage's policy to be truthful, fair and honest in the advertising,
marketing,  and  promotion of its  products.  All  advertising  and promotion of
Meritage products should be appropriate in nature to a homebuilder company.

FINANCIAL INTEGRITY; RECORD RETENTION

     Meritage's  books,  records and accounts are to be  maintained  in a manner
that accurately reflects all financial transactions in conformity with generally
accepted accounting principles. An employee shall not:

     *    Improperly  accelerate  or  defer  expenses  or  revenues  to  achieve
          financial results or goals.
     *    Maintain any undisclosed or unrecorded funds or "off the book" assets.
     *    Establish or maintain improper,  misleading,  incomplete or fraudulent
          accounting documentation or financial reporting.
     *    Make any  payment  for  purposes  other  than those  described  in the
          documents supporting the payment.
     *    Sign any documents believed to be inaccurate or untruthful.

     Meritage  maintains a detailed Record Retention  Policy.  Any employee that
becomes aware of any  investigation,  litigation,  administrative  proceeding or
other  governmental or regulatory  proceeding must immediately  consult with the
Chief  Financial  Officer  regarding  any records  relating to that  matter.  If
necessary,  the Chief  Financial  Officer will consult with  Meritage's  outside
legal counsel  regarding the appropriate steps that should be taken in regard to
records  relating to any such  proceeding.  Federal and state law  provides  for
imprisonment and severe penalties for any person who alters, mutilates, conceals
or destroys a record or an object with intent to impair the availability of such
item or influence the investigation of a governmental department or agency.

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ACCOUNTING CONCERNS

Employees are encouraged to talk to their supervisor, Chief Financial Officer or
Chairman of the Audit Committee regarding any concerns that they have pertaining
to the Company's  accounting,  internal  controls or audit practices.  It is our
policy  not  to  allow  retaliation  for  reports  of  misconduct  or  potential
misconduct  by others made in good faith by employees.  To the extent  possible,
the reporting of potential issues will be kept confidential.

RELATIONS WITH EMPLOYEES

     Meritage  recognizes that its continued  success depends on the development
and fair treatment of all of its  employees.  Meritage is committed to providing
equal opportunity for employment and advancement at every level of employment on
the basis of ability and aptitude,  without regard to race, sex, age,  religion,
national origin,  disability,  or any other classification protected by federal,
state and  local  laws and  ordinances.  Similarly,  Meritage  is  committed  to
maintaining a workplace that is free from harassment by a co-worker, supervisor,
vendor or customer.

     If you feel you are being  discriminated  or harassed,  you should  contact
your supervisor, a Human Resources Manager or any other member of management you
feel comfortable  discussing the matter with. In addition,  employees can report
such conduct to the Chief Financial  Officer.  Employees will not be disciplined
or otherwise retaliated against as a result of reporting such conduct.

ALCOHOL AND DRUGS IN THE WORKPLACE

     Meritage  has a  responsibility  to all of its  employees to provide a safe
workplace,  including a drug and alcohol-free workplace. Meritage reinforces its
commitment by prohibiting  employees  from using,  possessing,  distributing  or
being  under the  influence  of  illegal  drugs or  alcohol at any time while on
company premises or performing company business at any location.

WORKPLACE HEALTH, SAFETY AND ENVIRONMENT

     Meritage is committed to the safety and health of its employees.  Providing
and  maintaining a safe work  environment  and  instituting  and following  work
practices to safeguard employees must be a primary  consideration for all of us.
Reviewing  all of our  businesses  and  identifying  where we can act to improve
safety  awareness  is an ongoing task to which the entire  corporation  and each
employee  should be dedicated.  There is no job so important that we cannot take
the time to complete it safely.

     Safe work  practices also include  exercising  good judgment with regard to
the  environmental  aspects  of  our  business.   Additionally,   discharge  and
disposition  of hazardous  materials  should be performed  only in a manner that
complies with environmental protection laws.

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