Justia Nebraska Supreme Court Opinion Summaries
Dirt Road Development v. Hirschman
The case revolves around a dispute between Dirt Road Development LLC (DRD) and Robert and Kathryn Hirschman over the construction and operation of a new feedlot in Howard County, Nebraska. The Hirschmans own several properties in the county where they operate feedlot facilities. They planned to construct and operate a new feedlot on a property that is separated from their existing feedlots by a quarter section of land owned by a third party. DRD, which owns a property near the proposed new feedlot, filed a lawsuit seeking to prevent the Hirschmans from constructing and operating the new feedlot without obtaining a conditional use permit from the Howard County Board of Commissioners.The District Court for Howard County heard the case initially. The court had to determine whether, under Howard County’s zoning regulations, the Hirschmans' new feedlot was “adjacent” to their existing livestock operations. If so, the regulations required the Hirschmans to obtain a conditional use permit before constructing and operating the new feedlot. The district court concluded that the new feedlot was adjacent to the Hirschmans’ other feedlots and that therefore, the Hirschmans were required to obtain a conditional use permit to build and operate the new feedlot. The court granted DRD’s motion for summary judgment and denied the Hirschmans’ motion.The Hirschmans appealed the decision to the Nebraska Supreme Court. They argued that the district court erred in holding that under the Howard County zoning regulations, their new feedlot was adjacent to their other feedlots and constituted a single commercial livestock operation rather than a separate feedlot. The Nebraska Supreme Court affirmed the district court's decision, agreeing that the term "adjacent" as used within the zoning regulations is unambiguous and that the Hirschmans were required to obtain a conditional use permit for their new feedlot. View "Dirt Road Development v. Hirschman" on Justia Law
MIMG LXXIV Colonial v. Ellis
The case revolves around a residential eviction dispute between a landlord, MIMG LXXIV Colonial, LLC (Colonial), and a tenant, TajReAna Ellis. Colonial initiated eviction proceedings against Ellis for failing to pay rent, providing a seven-day notice as required by Nebraska’s Uniform Residential Landlord and Tenant Act (URLTA). Ellis, however, argued that the federal Coronavirus Aid, Relief, and Economic Security Act (CARES Act) imposed a 30-day notice requirement, superseding the state law. The county court rejected Ellis' argument and ruled in favor of Colonial. Ellis appealed to the district court, which reversed the county court's decision, agreeing with Ellis that the CARES Act required a 30-day notice.The case was then brought before the Nebraska Supreme Court. However, by this time, Ellis' lease had expired, and she had vacated the property. The court found that the case was moot as the relief sought by Colonial, a judgment for restitution of the premises, would have no practical effect since Ellis no longer resided in the property. Colonial argued that the case was not moot due to its interest in knowing whether it violated the law and the financial interest related to the district court's taxing of costs. The court rejected these arguments, stating that claims for costs are generally insufficient to avoid mootness.The court also considered whether to reach the merits of the case under the public interest exception to the mootness doctrine. However, it declined to do so, noting that the primary question in the case was a matter of federal statutory interpretation, over which the U.S. Supreme Court has final authority. The court also declined to apply the collateral consequences exception, which is typically used in criminal cases. Consequently, the appeal was dismissed. View "MIMG LXXIV Colonial v. Ellis" on Justia Law
Woodward v. Saint Francis Medical Center
The case revolves around a medical malpractice claim filed by Jillyn M. Woodward, individually and as Special Administrator of the Estate of Brian K. Woodward, deceased, against Saint Francis Medical Center and the doctors who treated Brian. Brian was admitted to the emergency room at Saint Francis Medical Center with a swollen tongue and difficulty swallowing. He was diagnosed with angioedema, a condition causing abnormal swelling of the tongue, mouth, and airway. Despite treatment, his condition worsened, and he had to be intubated. The intubation attempts were unsuccessful, leading to a delay in securing his airway. Brian later developed right-side semiparesis, including weakness and partial paralysis, which was attributed to an anoxic brain injury due to the delay in securing his airway.The District Court for Hall County granted summary judgment in favor of the doctors and Saint Francis Medical Center. The court also struck the affidavits of two expert witnesses provided by Woodward, citing inconsistencies with their earlier deposition testimonies. Woodward appealed the decision.The Nebraska Supreme Court reversed the lower court's decision. The court held that the change in testimony of nonparty witnesses is an issue of credibility for a fact finder to make, and that later testimony will normally not be struck by the trial court. The court also noted that the document provided by Saint Francis Medical Center did not conclusively establish that the doctors were not employees or agents of the hospital. The case was remanded for further proceedings. View "Woodward v. Saint Francis Medical Center" on Justia Law
In re Interest of Jeovani H.
The case involves a juvenile, Jeovani H., who was placed on probation and ordered to pay restitution as a term and condition of his probation. Jeovani was charged with an act that would constitute the felony of first-degree assault, which was later amended to a misdemeanor of attempted third-degree assault. The incident involved Jeovani shoving another youth, causing the youth to fall and fracture his arm. As part of a plea agreement, Jeovani admitted to the amended petition and agreed that the amount of restitution owed to his victim for medical expenses was $2,553.05. However, he disputed his ability to pay that amount.The Hall County Court, sitting as a juvenile court, accepted Jeovani’s admission to the amended petition and ordered a predisposition investigation. At the disposition and restitution hearing, Jeovani’s mother testified about the family's financial situation and work schedules, arguing that Jeovani did not have the ability to pay the restitution amount. The State called Jeovani and a juvenile probation officer as witnesses, who testified about Jeovani's ability to work and earn money to pay the restitution.The Nebraska Supreme Court affirmed the juvenile court's decision. The court found that Jeovani had the ability to pay the restitution within the 12-month period of his probationary term. The court also rejected Jeovani’s claim that he was not allowed an opportunity to present or cross-examine witnesses on the issue of restitution. The court concluded that the restitution order was consistent with Jeovani’s reformation and rehabilitation and was supported by the record. View "In re Interest of Jeovani H." on Justia Law
Posted in:
Criminal Law, Juvenile Law
MacFarlane v. Sarpy Cty. Sch. Dist. 77-0037
A mother sued a school district for negligence under the Political Subdivisions Tort Claims Act (PSTCA), alleging that her son was injured during a pole-vaulting practice at school when he fell onto an unpadded section of the pole-vaulting box collar area. The district court dismissed the case, concluding that the claim was barred by the PSTCA’s “recreational activity” exemption. The mother appealed.Previously, the district court had ruled that the school district was immune from the lawsuit because the student's pole-vaulting activity fell under the PSTCA's "recreational activity" exemption. The court applied a three-part test from a previous case, determining that pole-vaulting fit the definition of a recreational activity, the injuries arose from an inherent risk of the activity, and no fee was charged for participation.On appeal, the Nebraska Supreme Court reversed the lower court's decision. The Supreme Court found that while pole-vaulting could be considered a recreational activity, it was premature to conclude that the student's injuries necessarily resulted from an inherent risk of that activity. The court noted that the complaint alleged the injuries resulted from the school's negligence in failing to properly pad the pole-vaulting area, supervise the student, and have proper safety protocols in place. The court concluded that a factual record was necessary to resolve the issues raised by the complaint and the assertion of sovereign immunity by the school district. The case was remanded for further proceedings. View "MacFarlane v. Sarpy Cty. Sch. Dist. 77-0037" on Justia Law
Posted in:
Education Law, Personal Injury
Seemann v. Seemann
In a marital dissolution case, the Nebraska Supreme Court reviewed the division of assets, alimony, attorney fees, and other matters. The couple, Clint and Lisa Seemann, had a premarital agreement that classified certain assets as marital or nonmarital. The court found that the appreciation of certain assets, such as a membership interest in a limited liability company (LLC) and carpet and tile, should have been included in the marital estate. The court also found that Lisa's retirement accounts were overvalued and that the value of Clint D. Seemann, P.C. should have been included in the marital estate.The court affirmed the lower court's decision in part, but reversed the division of the marital estate and remanded the case for a new equitable division of the marital estate. The court also modified the decree to require Clint to pay a larger amount towards a line of credit debt. The court affirmed the lower court's decision on alimony, attorney fees, and other matters.The court's decision was based on a de novo review of the record, and it made independent factual determinations based on the record. The court also considered the parties' premarital agreement and the general rule that a spouse should be awarded one-third to one-half of the marital estate. The court did not find any abuse of discretion by the lower court in its determinations regarding alimony, attorney fees, and other matters. View "Seemann v. Seemann" on Justia Law
Posted in:
Family Law
Johnson v. Vosberg
The case involves a dispute between a landlord, Daniel Johnson, and his tenant, Tina Vosberg. Johnson filed a complaint under Nebraska’s Uniform Residential Landlord and Tenant Act (URLTA) seeking restitution of the premises, unpaid rent, and statutory damages for willful holdover. The primary disagreement was over the duration of the lease agreement. Johnson presented a 90-day lease, while Vosberg claimed she had signed a 1-year lease. The county court held an expedited trial on the claim for possession and ruled in favor of Johnson. Vosberg appealed this decision.Vosberg's appeal was heard by the District Court for Douglas County, which affirmed the county court's decision. Vosberg then appealed to the Nebraska Supreme Court. During the pendency of the appeal, the alleged 1-year lease period passed, Vosberg vacated the premises, and she stopped paying monthly rent pursuant to the supersedeas bond.The Nebraska Supreme Court found that it had appellate jurisdiction over the case. However, it ruled that the appeal was moot because the term of the alleged 1-year lease had expired, Vosberg had vacated the premises, and she was no longer paying the monthly rent under the terms of the supersedeas bond. The court also rejected Vosberg's argument that she suffered collateral consequences from the writ because a judgment of eviction on her record made it harder for her to find landlords willing to rent to her. The court dismissed Vosberg's appeal as moot. View "Johnson v. Vosberg" on Justia Law
State v. Hoehn
The case involves the defendant, Michael C. Hoehn, who was convicted of driving under the influence (DUI) after a motion to suppress evidence from his stop and arrest was denied by the county court. The arresting officer, Officer Matt Rockwell of the Minatare Police Department, had left his primary jurisdiction after receiving a report of a white pickup driving erratically. Rockwell observed the pickup straddling the centerline and trash coming from the driver’s-side window. After the pickup turned into oncoming traffic and down into the grass median, Rockwell stopped the vehicle and identified the driver as Hoehn. Rockwell observed Hoehn had slurred speech, bloodshot, watery eyes, and detected a strong odor of an alcoholic beverage coming from the vehicle. Rockwell administered a preliminary breath test and other field sobriety tests, which Hoehn failed, leading to his arrest for DUI.Hoehn appealed to the district court, arguing that Rockwell did not have jurisdictional authority to perform the traffic stop. The district court affirmed the conviction, interpreting Nebraska Revised Statute § 29-215(3)(c) to mean that when probable cause exists, officers have authority to perform stops and arrests outside of their primary jurisdiction that are solely related to enforcing laws that concern a person operating a motor vehicle under the influence of alcohol or drugs.Hoehn then appealed to the Nebraska Court of Appeals, which disagreed with the district court’s interpretation of § 29-215(3)(c) and found that Rockwell lacked jurisdictional authority to make the stop and arrest. However, the Court of Appeals held that under the good faith exception to the Fourth Amendment’s exclusionary rule, Hoehn’s conviction, based on the evidence from his stop and arrest, did not violate the Fourth Amendment to the U.S. Constitution and article I, § 7, of the Nebraska Constitution. Both Hoehn and the State petitioned for further review by the Nebraska Supreme Court.The Nebraska Supreme Court affirmed the decision of the Court of Appeals, albeit on different grounds. The court held that a law enforcement officer’s jurisdictional power and authority to make a stop or arrest is irrelevant to the admissibility, under the Fourth Amendment and article I, § 7, of the Nebraska Constitution, of the evidence obtained from the stop or arrest. Therefore, the county court did not err in denying Hoehn’s motion to suppress brought under the Fourth Amendment to the U.S. Constitution and article I, § 7, of the Nebraska Constitution. View "State v. Hoehn" on Justia Law
White v. White
This case involves a dispute between a decedent's wife and the co-personal representatives of the decedent's estate over the ownership of $100,000 and a camper under the terms of a premarital agreement. The decedent's wife, Yvonne M. White, argued that she was entitled to these assets based on the premarital agreement she had with her late husband, Leonard P. White. The co-personal representatives of Leonard's estate, his sons Jamison Patrick White and Ryan Howard White, contested this claim.The District Court for Washington County, Nebraska, ruled in favor of Yvonne, awarding her the $100,000 and the camper. The co-personal representatives appealed this decision to the Nebraska Court of Appeals, which affirmed the lower court's ruling. They then sought further review from the Nebraska Supreme Court.The Nebraska Supreme Court affirmed the decision of the Court of Appeals. The court found that Yvonne's suit for the $100,000 and the camper did not constitute a "claim" against the estate, but rather, she was a beneficiary of the estate entitled to the assets she sought under a breach of contract theory according to the terms of the premarital agreement. Therefore, her suit was not subject to the nonclaim statute's requirements for the timely filing of a claim. The court also found that the camper was a joint asset under the premarital agreement, rejecting the co-personal representatives' argument that it was the decedent's separate property. View "White v. White" on Justia Law
Posted in:
Family Law, Trusts & Estates
In re Hessler Living Trust
The case revolves around the interpretation of the Michael Hessler Living Trust. Michael Hessler, the settlor of the trust, had three children: Heidi Shaddick, Amber Rocha, and Brock Hessler. He also had a romantic relationship with Lori J. Miller. After Hessler's death, the successor trustee of the trust, Robert Hessler, deeded a house to Miller and allocated all inheritance tax to the trust's residuary, which was to be divided among Hessler's three children. The children sued, arguing that the inheritance tax should be equitably apportioned among all beneficiaries, including Miller.The case was initially filed in Lancaster County, but the trustee successfully moved to transfer the case to Scotts Bluff County, where the trust was registered. The children challenged this decision, arguing that the case should have been heard in Lancaster County, where the real estate in question was located.The county court for Scotts Bluff County granted Miller's motion for partial summary judgment on the inheritance tax issue, ruling that the language of the trust was clear enough to override the statutory pattern that would otherwise presume equitable apportionment of inheritance tax. The court concluded that the trust's language indicated that all inheritance taxes were to be paid from the trust's residue, not by the individual beneficiaries. The children appealed this decision.The Nebraska Supreme Court affirmed the lower court's decision. It ruled that the order transferring venue to Scotts Bluff County was not a final order and could be challenged in the appeal. The court also found no error in the lower court's decision to admit an affidavit from the attorney who drafted the trust. Finally, the court agreed with the lower court's interpretation of the trust, concluding that the trust's language clearly indicated that inheritance taxes were to be paid by the trust rather than by the individual beneficiaries. View "In re Hessler Living Trust" on Justia Law
Posted in:
Civil Procedure, Trusts & Estates