Accordingly, KRS 381.350 continues to apply only to claims of voluntary waste.See, e.g. , Estate of Johnston v. Director, Division of Taxation , No. 010286-2015, 2018 WL 3018883, at *5 (N.J. Tax Ct. June. 15, 2018) ("New Jersey Courts have recognized two main varieties of waste, voluntary and permissive[ ]"); Kennedy v. Meech , 81 Mass.App.Ct. 1113, 961 N.E.2d 164 (2012) (Noting, "the line between voluntary and permissive waste is often not an easy one to draw"); Wells Fargo Bank Minn., N.A. v. Diamond Point Plaza, L.P. , 171 Md.App. 70, 908 A.2d 684 (Md. Ct. Spec. App. 2006) ("There are principally two different types of waste: voluntary and permissive waste[ ]").