Justia Nebraska Supreme Court Opinion Summaries
1 Cono Contracting v. Lopez
After the Nebraska Workers’ Compensation Court entered an award against Mauro Rubio and Cono Contracting, LLC in favor of Catarino Lopez, Rubio alleged the award was procured by fraud, irregularity, and was inequitable. Rubio’s attorney withdrew unexpectedly at trial, leaving Rubio unrepresented. Rubio claimed Lopez exaggerated his injuries and sought to vacate the award, citing Nebraska statutory and equitable grounds. The award had been filed in the District Court for Douglas County.Lopez moved to dismiss Rubio’s independent action in the district court, arguing the court lacked jurisdiction to vacate the Workers’ Compensation Court’s award, asserting the district court’s authority was limited to enforcement. The district court agreed, finding it had no authority to vacate or modify the compensation court award and that Rubio’s complaint failed to state a claim for relief under § 25-2001. Rubio appealed to the Nebraska Court of Appeals. Prior to briefing, the Court of Appeals dismissed the appeal, reasoning that the district court lacked jurisdiction to vacate the award and, consequently, the Court of Appeals lacked jurisdiction over the appeal. Rubio’s motion for rehearing was denied.The Nebraska Supreme Court reviewed the case and concluded that the district court had equitable jurisdiction to vacate the compensation court’s award once it had been filed as a judgment in the district court, pursuant to § 48-188. The Court held that the district court’s jurisdiction was not limited to enforcement and that it could entertain an independent action to vacate such an award. The Supreme Court vacated the Court of Appeals’ dismissal and retained the case for further proceedings, allowing briefing on whether Rubio had stated a claim for relief. View "1 Cono Contracting v. Lopez" on Justia Law
Posted in:
Civil Procedure, Labor & Employment Law
Common Cause v. Evnen
The case concerned a request from the U.S. Department of Justice (DOJ) for Nebraska’s statewide voter registration list, including sensitive personal information. Before the Secretary of State released the list, a membership organization and a registered voter filed suit, seeking to block or limit the disclosure, alleging that such release would violate Nebraska statutes restricting the dissemination and use of voter information. They argued that the DOJ was not entitled to all the requested data under federal law and sought declaratory and injunctive relief.In the District Court for Lancaster County, the Secretary moved to dismiss the complaint, arguing that the plaintiffs lacked standing and had failed to join the DOJ as an indispensable party. The court agreed that the plaintiffs did not have standing, finding that they had not alleged a concrete injury and that concerns over possible future public disclosure or misuse were speculative. The court also found that Common Cause had not adequately pleaded associational standing. However, the court rejected the Secretary’s argument that the DOJ (or the U.S. Attorney General) was an indispensable party. The case was dismissed without prejudice on standing grounds, and the plaintiffs’ motions for a temporary injunction and summary judgment were denied.On appeal, while the matter was pending before the Nebraska Supreme Court, the Secretary released the voter list to the DOJ. The Nebraska Supreme Court determined that the case was moot because the list had already been disclosed, eliminating any live controversy or possibility of meaningful relief. The court declined to apply the public interest exception to the mootness doctrine and dismissed both the appeal and the cross-appeal. The main holding is that, due to the completed disclosure, the action no longer presented a justiciable issue. View "Common Cause v. Evnen" on Justia Law
Posted in:
Civil Procedure, Election Law
State v. German
The case concerns a defendant convicted of second degree murder, kidnapping, and first degree false imprisonment following incidents in Imperial, Nebraska, in November 2019. The prosecution’s case was based on events involving the defendant’s drug activities and relationships with several individuals, notably his girlfriend and two other women, one of whom was the murder victim. Key evidence included testimony from a co-defendant who had accepted a plea agreement, and a recording of the defendant’s police interview. The jury found the defendant guilty, and he was sentenced to significant prison terms for each conviction.After his convictions and sentences were affirmed by the Nebraska Supreme Court on direct appeal, the defendant filed a motion for postconviction relief in the District Court for Chase County. In this motion, he raised several claims of ineffective assistance of counsel, including both trial and appellate counsel. He argued, among other things, that his trial counsel did not properly advise him regarding his right to testify, failed to object to or seek redaction of prejudicial statements from his police interview, failed to present evidence of a witness’s prior acts, and did not address his mental health or medication needs during trial. He also claimed appellate counsel failed to properly argue issues relating to jury instructions and ineffective assistance on appeal.The Nebraska Supreme Court reviewed the denial of postconviction relief de novo. The court held that many of the defendant’s claims were procedurally barred because they had been raised or decided on direct appeal or lacked sufficient specificity. For the remaining claims, the court found that either the necessary factual allegations were lacking or, assuming the facts as alleged, the defendant was not entitled to relief. The court affirmed the District Court’s denial of an evidentiary hearing and postconviction relief. View "State v. German" on Justia Law
Posted in:
Criminal Law
Fischer v. Southeast Community College
Two individuals—a student enrolled in a nursing program and a prospective paramedic student—challenged a community college’s policy requiring proof of COVID-19 vaccination for participation in certain clinical programs. The student alleged she was removed from the nursing program after failing to provide proof of vaccination and not receiving a clear response to her request for a medical exemption. She also claimed that the college placed her in clinical rotations at facilities with strict vaccination requirements, while other students were placed at locations accommodating the unvaccinated. The prospective paramedic student did not complete the vaccination requirement, did not seek an exemption, and was told that proof of vaccination or a successful exemption was necessary for acceptance.The District Court for Lancaster County allowed amendment of the initial complaint, but ultimately dismissed the amended complaint for lack of subject matter jurisdiction and failure to state a claim. The court found that the contract and negligence claims were barred by sovereign immunity, that the due process and equal protection claims lacked sufficient factual allegations to proceed, and that the “ultra vires” claim was not cognizable. The court denied further leave to amend, finding amendment would be futile. A timely postjudgment motion to alter or amend was denied, and the plaintiffs appealed.The Nebraska Supreme Court, after reviewing for plain error due to briefing deficiencies, found no plain error in the lower court’s dismissal of the case. The Court concluded that the district court properly dismissed all claims and that the appeal was timely. The Supreme Court affirmed the judgment of the district court. View "Fischer v. Southeast Community College" on Justia Law
Schmuecker v. Lancaster County
A deputy sheriff sergeant was terminated from his employment after an incident where he encountered two individuals with active “time pay” warrants for failure to pay fines. Despite confirming the existence and validity of the warrants, which were issued by a county court and directed to any law enforcement officer, he told the individuals that he would not arrest them because he believed doing so would be pointless. The interaction was recorded on his body camera. After the sheriff’s office conducted an internal investigation, the sergeant was found to have violated standard operating procedures by neglecting his duty.The sergeant appealed the termination to the county sheriff’s merit commission, which upheld the decision after a hearing. He then filed a petition in error with the District Court for Lancaster County, arguing that the evidence did not support his termination, that due process was denied because he was not given notice regarding issues of credibility or prior investigations, that the commission’s decision was void for untimely delivery, and that he had not waived any objections by failing to object during the administrative hearing. The district court found sufficient evidence supported the commission’s decision, determined the procedures were constitutionally adequate, rejected the argument about untimely delivery because no specific deadline for notification was violated, and concluded there was no prejudice regarding any waiver issue.The Nebraska Supreme Court reviewed the case. It held that sufficient evidence supported the finding that the sergeant neglected his statutory duty to execute the warrants, which justified termination under the governing procedures. The court also held that due process requirements were satisfied, as the sergeant received notice of the charges, an explanation of the evidence, and an opportunity to be heard. The court affirmed the district court’s judgment, finding no prejudicial error in the proceedings. View "Schmuecker v. Lancaster County" on Justia Law
Bar at the Yard v. Friends Family
A business operating a restaurant and bar near Memorial Stadium in Lincoln, Nebraska, leased its space from a landlord and claimed an exclusive right, under its lease, to sell alcohol in a specific outdoor area called the Common Area. Another business, which also operated a restaurant nearby, entered into agreements with the same landlord to sell alcohol from a space adjacent to the Common Area during Nebraska football home games. The new competitor sold alcohol through windows to customers standing in the Common Area, which the first business claimed violated its exclusive rights and harmed its sales.After learning of the competitor’s plans, the original bar sent a cease-and-desist letter, which was ignored. The bar then sued the competitor, alleging tortious interference with contract and with a business expectancy, seeking both damages and injunctive relief. Both sides submitted affidavits and evidence during discovery. The District Court for Lancaster County granted summary judgment in favor of the competitor, finding no evidence that the competitor’s actions went beyond valid competition or that it induced the landlord to breach the lease’s exclusivity provision. The court also struck certain portions of the plaintiff’s affidavit on evidentiary grounds.The Nebraska Supreme Court affirmed the district court’s judgment. It held that to prevail on claims for tortious interference with contract or business expectancy, a plaintiff must show intentional and unjustified interference beyond valid competition. The Court found no evidence that the competitor induced the landlord to breach the lease or engaged in improper means; mere knowledge that entering a new agreement would conflict with an existing contract was insufficient. The Court also agreed that the competitor’s conduct constituted valid competition, not actionable interference, and that any evidentiary rulings by the district court did not affect the outcome. View "Bar at the Yard v. Friends Family" on Justia Law
Posted in:
Business Law, Contracts
State v. Mata
The case concerns a defendant who was convicted of first degree murder and kidnapping in the death of a young child, the son of a woman with whom he had an intimate relationship. The defendant was initially sentenced to life imprisonment for kidnapping and death for murder. After his death sentence was vacated due to a Supreme Court ruling requiring a jury to find aggravating circumstances, he was resentenced to death after a jury found the necessary aggravating factor. The defendant was represented throughout trial and sentencing by attorneys from the Nebraska Commission on Public Advocacy (NCPA).After his conviction and sentencing were affirmed on appeal, the defendant filed a pro se motion for postconviction relief, which was denied by the District Court for Scotts Bluff County without an evidentiary hearing. Upon appeal, the Nebraska Supreme Court ordered that he be allowed to amend his motion and have counsel appointed. The public defender’s office, led by an attorney who had previously served as an NCPA commissioner, was appointed for his postconviction proceedings. The amended motions raised claims of ineffective assistance of trial and appellate counsel, but were denied without a hearing; this denial was affirmed on appeal.The defendant later filed a lengthy successive postconviction motion, arguing that his initial postconviction counsel had conflicts of interest, including prior involvement with the NCPA and personal or professional relationships that prevented effective representation. The District Court held an evidentiary hearing but found no actual conflict of interest by postconviction counsel and determined that any claims regarding trial or appellate counsel were procedurally barred because they could have been raised earlier.The Nebraska Supreme Court affirmed the district court’s order. It held that the defendant was not entitled to bring a successive postconviction motion based on alleged conflicts of postconviction counsel, as no actual conflict was proven and all claims, except ineffective assistance of postconviction counsel, were procedurally barred. The court also reiterated that claims of ineffective assistance of postconviction counsel are not cognizable under Nebraska law. View "State v. Mata" on Justia Law
Posted in:
Criminal Law
State v. Mielak
The appellant was charged with first degree sexual assault after digitally penetrating his intoxicated roommate, H.S., while she was lying face down on a bathroom floor, appearing to be asleep or unconscious. H.S. and her sister lived with several male roommates, including the appellant, and the bathroom where the assault occurred was reserved for the sisters, with males not allowed. On the night in question, H.S. became highly intoxicated, went to the bathroom to vomit, and fell asleep on the floor. The appellant entered the bathroom after being told not to by H.S.’s sister, and penetrated H.S. while she remained immobile and unresponsive. After the incident, H.S. immediately reported the assault to her sister and later to law enforcement. The appellant admitted to inappropriate touching when confronted.The District Court for Lancaster County conducted a jury trial where the appellant did not testify or call witnesses. The jury found him guilty under alternative theories: (1) that the penetration occurred without H.S.’s consent, or (2) that the appellant knew or should have known H.S. was mentally or physically incapable of resisting or appraising the act. The court denied the appellant’s posttrial motions for a new trial or to vacate the conviction, and sentenced him to prison. The Nebraska Court of Appeals affirmed the conviction, addressing the sufficiency of the evidence and the refusal to give the appellant’s proposed jury instruction.The Nebraska Supreme Court reviewed whether the evidence supported the conviction under either theory and addressed the type of conduct that may express a lack of consent under Neb. Rev. Stat. § 28-318(8)(a)(iii). The court held that “conduct” includes both actions and omissions, and may consist of a series of acts or omissions. It also held that an intoxicated victim may be incapable of resisting or appraising the nature of the conduct even if aware of the act. The Supreme Court affirmed the decision of the Court of Appeals. View "State v. Mielak" on Justia Law
Posted in:
Criminal Law
MLB Advanced Media v. Nebraska Dept. of Rev.
A taxpayer entered into an agreement with the Nebraska Tax Commissioner for a data center project under the Nebraska Advantage Act, which required a minimum investment in exchange for tax incentives. The taxpayer later sought to transfer the project and its associated incentives to another company. The Department of Revenue denied the transfer request, stating the project had not been transferred in its entirety as required by statute. The Department notified the taxpayer of its intent to deny the transfer, gave it an opportunity to respond, and later issued a final denial. After this denial, the Department determined the taxpayer had failed to maintain required investment levels, issued a notice of deficiency determination by first-class mail, and sought to recapture tax incentives. The taxpayer protested both the denial of the transfer and the deficiency notice, but its protest was filed after the statutory deadline.In the District Court for Lancaster County, the court dismissed the taxpayer’s petition regarding the transfer dispute, finding it was untimely and that the court lacked jurisdiction. In the deficiency dispute, the district court found the Department could provide notice of the deficiency by first-class mail without requesting a return receipt, but remanded for a hearing to resolve whether the taxpayer’s protest was timely.The Supreme Court of Nebraska addressed both appeals. It held that the Department’s denial of the transfer was a “proposed determination” under the Nebraska Advantage Act, which the taxpayer had sixty days to protest; because no timely protest was filed, the determination became final and the district court lacked jurisdiction. The court further held that statutes did not require a return receipt for notices sent by first-class mail. Because there was no factual dispute about the date of mailing, the district court erred by remanding for a hearing on timeliness. The dismissal in the transfer dispute was affirmed, and the judgment in the deficiency dispute was affirmed as modified to eliminate the remand. View "MLB Advanced Media v. Nebraska Dept. of Rev." on Justia Law
Posted in:
Tax Law
State v. Kellogg
A man was charged with first degree murder, use of a deadly weapon to commit a felony, and possession of a deadly weapon by a prohibited person after fatally shooting a man in Omaha, Nebraska. In a plea agreement, the murder charge was reduced to second degree murder, and he pleaded guilty to all charges. During the plea colloquy, he denied any history of mental illness or suffering from a mental or emotional disorder and stated he understood the consequences of his plea. At sentencing, his attorney referenced a family history of mental illness and some reports of mental health concerns, but no formal claim of incompetency was raised.The District Court for Douglas County accepted his guilty pleas and imposed consecutive sentences totaling 95 years to life. On direct appeal, his sentences were affirmed; he did not claim incompetency but argued his mental health should have been a mitigating factor. He then filed a pro se motion for postconviction relief, asserting, among other things, that trial counsel was ineffective for failing to pursue a competency defense. The district court denied the motion without an evidentiary hearing, finding the record did not suggest incompetency and that his allegations were insufficient to show prejudice or a reasonable probability that he was incompetent at the time of the plea.The Nebraska Supreme Court reviewed the district court’s denial of postconviction relief. The court held that generalized allegations about mental health, without specific facts linking those issues to incompetency, were insufficient to warrant an evidentiary hearing or postconviction relief. It also held that failure to appoint counsel for postconviction proceedings was not an abuse of discretion where the motion presented no justiciable issues of law or fact. The Nebraska Supreme Court affirmed the district court’s decision. View "State v. Kellogg" on Justia Law
Posted in:
Criminal Law