Justia Nebraska Supreme Court Opinion Summaries
State v. Jennings
The Supreme Court affirmed Defendant's convictions of first degree murder and other crimes, holding that the district court did not err in denying Defendant's motions to suppress.Before trial, Defendant moved to suppress evidence obtained from searches of cell phone records and his residence. The first motion to suppress was based on cell phone records obtained pursuant to a provision within the federal Stored Communications Act (Act), which has since been held to be unconstitutional. As to the second motion to suppress, Defendant argued that the warrant violated the particularity requirements of the Fourth Amendment. The district court denied the motions. The Supreme Court affirmed, holding (1) the seizure of Defendant's cell phone records under a provision within the Act was a violation of Defendant's Fourth Amendment rights, but the exclusion of the evidence was subject to the good faith exception; and (2) a majority of the provisions in the residential search warrant met the particularity requirements of the Fourth Amendment, and if certain items were seized pursuant to invalid portions of the warrant, their admission was harmless error. View "State v. Jennings" on Justia Law
State ex rel. BH Media Group v. Frakes
The Supreme Court affirmed the judgment of the district court determining that records related to the Nebraska Department of Correctional Services's (DCS) efforts to acquire lethal injection drugs were subject to disclosure, holding that Appellant's assignments of error were without merit.On appeal, Appellant, director of the DCS, argued that the records sought were not public records as defined by Neb. Rev. Stat. 84-712.091 and that the district court erred in determining that he failed to prove that the records should not be disclosed. The Supreme Court affirmed, holding (1) the relators in this case had standing, and the district court had jurisdiction; (2) the district court did not err in concluding that the documents were subject to public records statutes; and (3) the district court did not err in concluding that Appellant failed to prove by clear and conclusive evidence that an exemption applied. View "State ex rel. BH Media Group v. Frakes" on Justia Law
Posted in:
Criminal Law
State v. Ferrin
The Supreme Court affirmed Defendant's conviction and sentence for the misdemeanor offense of obstructing a peace officer, holding that the evidence was sufficient to support the conviction.Specifically, the Supreme Court held that the district court did not err in affirming the judgment of the county court because the county court did not err in overruling Defendant's motions for directed verdict where there was sufficient evidence to prove the material elements of the crime. As to Defendant's remaining assignments of error, the Court held (1) because the bill of exceptions in this case did not contain the suppression hearing, this Court will not consider Defendant's argument challenging the overruling of his motion to suppress; and (2) Defendant did not trigger appellate review of the trial court's decision denying his motion in limine. View "State v. Ferrin" on Justia Law
Bonness v. Armitage
The Supreme Court affirmed the decision of the district court dismissing Plaintiff's medical malpractice action on statute of limitations grounds, holding that because the face of the complaint showed that the action was barred by the statute of limitations the district court properly granted Defendant's motion to dismiss.On appeal, Plaintiff argued that Defendant waived the statute of limitations defense and that, even if he did not, dismissal on statute of limitations grounds was not proper. The Supreme Court affirmed, holding (1) there was no basis to find that Defendant waived the statute of limitations defense; and (2) the face of the complaint showed that the action was barred by the statute of limitations. View "Bonness v. Armitage" on Justia Law
Posted in:
Medical Malpractice
State v. Lang
The Supreme Court affirmed Defendant's convictions for possessing methamphetamine and marijuana, holding that Defendant was not entitled to relief on her allegations of error.On appeal, Defendant argued (1) the district court erred in overruling her motion to suppress, (2) the district court erred in overruling her motions seeking a competency evaluation, and (3) her trial counsel provided ineffective assistance. The Supreme Court affirmed, holding (1) the district court properly overruled Defendant's motion to suppress; (2) there was no abuse of discretion in overruling Defendant's motions for a competency evaluation; and (3) the record affirmatively refuted Defendant's claim that trial counsel performed deficiently. View "State v. Lang" on Justia Law
FTR Farms, Inc. v. Rist Farm, Inc.
The Supreme Court affirmed the judgment of the district court in this partition action, holding that partition in kind cannot be decreed using owelty - or a monetary payment to equalize values - without great prejudice to the owners.On appeal, Appellant argued, among other things, that the district court erred in determining that it did not have authority to award owelty to make partition in kind equitable. The Supreme Court affirmed, holding (1) owelty is permitted in partition cases but should be rarely utilized and only when it is equitably necessary; and (2) the district court did not err in rejecting the owelty award and ordering partition by sale because Appellee met its burden to establish that partition in kind could not be had without great prejudice. View "FTR Farms, Inc. v. Rist Farm, Inc." on Justia Law
Posted in:
Real Estate & Property Law
Yeransian v. Willkie Farr & Gallagher LLP
The Supreme Court affirmed the order of the district court dismissing Plaintiff's complaint against Defendant, a law firm, holding that the district court correctly determined it lacked jurisdiction over the complaint.Defendant had represented Aspen Holding, Inc. when Aspen merged with and was acquired by Markel Corporation. As a representative of Aspen's former shareholders, Plaintiff brought suit seeking to obtain the Aspen attorney-client filed for the former shareholders' dispute with Markel over payments from the merger. The district court granted Defendant's motion to dismiss, finding (1) Plaintiff failed to allege that Defendant had the requisite minimum contacts with the State, and therefore, the court did not have personal jurisdiction over Defendant; and (2) Plaintiff failed to state a claim upon which relief could be granted. The Supreme Court affirmed, holding (1) the district court did not err in denying Plaintiff's motion regarding jurisdictional discovery; and (2) Plaintiff failed to establish a continuing substantial connection under the operative facts of the litigation to establish that Defendant had sufficient minimum contacts with Nebraska for the exercise of specific personal jurisdiction. View "Yeransian v. Willkie Farr & Gallagher LLP" on Justia Law
Posted in:
Business Law, Civil Procedure
State v. Degarmo
The Supreme Court affirmed Defendant's conviction of driving under the influence, holding that Defendant consented to a chemical test of his urine and, therefore, the results of the urine test were admissible.A law enforcement officer stopped Defendant for an expired registration. Based on his observations, the officer, a certified drug recognition evaluation expert, administered field sobriety tests. The officer concluded that Defendant was under the influence of marijuana arrested Defendant for driving under the influence and then took him to a detoxification center. Thereafter, a chemical test of Defendant's urine confirmed the presence of marijuana. On appeal, Defendant challenged the admission of the results of the urine test. The Supreme Court affirmed, holding that Defendant voluntarily consented to the warrantless search of his urine, and therefore, the search fell within a recognized exception to the warrant requirement. View "State v. Degarmo" on Justia Law
Schaefer Shapiro, LLP v. Ball
In this case where a judgment creditor sought to garnish the judgment debtor's bank account, which, at one time, contained funds both exempt and nonexempt from garnishment, the Supreme Court affirmed the judgment of the county court finding that the bank account consisted solely of exempt funds, holding that funds exempt from garnishment remain exempt, even when commingled with nonexempt funds, so long as the source of exempt funds is reasonably traceable.Plaintiff obtained a judgment against Defendant and sought to garnish Defendant's bank account. The court ordered that the non-exempt funds in the account be transferred to the court. Defendant requested a hearing, asserting that the funds were exempt from garnishment because the only funds in the account were Social Security payments. Plaintiff stated that at one point the account held non-exempt funds commingled with the Social Security funds but that the non-exempt funds had been spent. The county court ruled that the funds were exempt. The district court affirmed. The Supreme Court affirmed, holding that Defendant met his burden to prove that the remaining funds in his account constituted exempt Social Security funds. View "Schaefer Shapiro, LLP v. Ball" on Justia Law
Posted in:
Consumer Law, Contracts
Huff v. Brown
The Supreme Court reversed the portion of the district court's order granting in part a writ of mandamus requiring Doug Brown, the sheriff of Furnas County, to provide records to Herchel Huff pursuant to the public records statutes, holding that the district court erred when it determined that Huff had shown that Brown had a clear duty to provide the requested records.Huff, an inmate, sought, among other documents, the criminal history records of jurors who had convicted hims. Furnas County sheriff Kurt Kapperman required a deposit of $750 before fulfilling the request. Huff subsequently filed a petition for writ of mandamus naming Kapperman as the defendant and seeking an order compelling Kapperman to release all requested documents. The court permitted Huff to substitute Brown, the current sheriff, in the caption of the case in place of Kapperman and granted in part mandamus. The Supreme Court reversed in part, holding that the district court (1) did not err when it substituted Brown's name for Kapperman's; but (2) erred in issuing mandamus because Huff failed to demonstrate a prima facie case that he had been denied a request for public records that the sheriff had a clear duty to provide under Neb. Rev. Stat. 84-712. View "Huff v. Brown" on Justia Law
Posted in:
Communications Law, Criminal Law