Rice v. Bixler

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Plaintiff, the surface owner of various tracts of land in Sioux County, sued the alleged owners of severed mineral interests in those tracts, claiming that the defendants abandoned their interests because they did not comply with the requirements of Neb. Rev. Stat. 57-229 by failing to exercise publicly the right of ownership of the severed mineral interests. All of the defendants filed verified claims to the mineral interests prior to the action filed by Plaintiff. The district court concluded (1) the alleged mineral owners had either strictly complied or substantially complied with the requirements of section 57-229; and (2) the alleged mineral owners had not forfeited their mineral interests, except for one of the claims, which was terminated. Rice appealed, and two of the defendants cross-appealed as to the mineral interests that were terminated. The Supreme Court affirmed in part and reversed in part, holding (1) strict compliance with section 57-229 is mandatory; (2) several of the defendants abandoned their interests by not strictly complying with the statute, and therefore, the district court erred in failing to terminate their interests; and (3) the district court correctly terminated the remaining mineral interests. View "Rice v. Bixler" on Justia Law