Rouse v. State

by
The Supreme Court affirmed the order of the district court granting Defendants’ motions to dismiss Plaintiff’s claim under the State Tort Claims Act (STCA), holding that the district court did not err in dismissing Plaintiff’s action against the State.Plaintiff, an inmate in the custody of the Nebraska Department of Correctional Services (DCS), alleged in his complaint that his personal property was seized and improperly disposed of by DCS personnel. The district court concluded (1) Plaintiff’s claims against the individual defendants were barred by qualified immunity, and (2) as to the State, the claim was barred under Neb. Rev. Stat. 81-8,219(2) because the claim was an exception to the STCA’s waiver of sovereign immunity. Defendant appealed from the portion of the order dismissing his action against the State. The Supreme Court affirmed, holding that because the DCS personnel that detained Defendant’s property were “law enforcement officer[s]” covered by the exception to the waiver of sovereign immunity under section 81-8,219(2), the State did not waive sovereign immunity from Defendant’s claims. View "Rouse v. State" on Justia Law