Gonzalez v. United States

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After plaintiff was injured while riding her bicycle over a ramp at DeSoto National Forest, she filed suit against government officials under the Federal Tort Claims Act (FTCA), 28 U.S.C. 2671-2680. Plaintiff alleged that defendants failed to inspect and maintain the bicycle trails, and failed to warn her of the hazard. The district court granted defendants' motion to dismiss. The court concluded that the FTCA's discretionary function exception barred plaintiff's claim. In this case, the relevant Manual and Handbook provisions contemplate an element of choice as to how USFS employees inspect and maintain the trails, and the manner in which the USFS officials inspected and maintained the trails was susceptible to policy considerations. In regard to plaintiff's failure to warn claim, the court explained that it was difficult to conceive of a provision mandating the USFS to take specific action to warn the public about unknown hazards. Even if the court did not accept the district court's findings with respect to the USFS having no knowledge of the bridge, the court concluded that the discretionary exception would still apply. Here, plaintiff failed to identify specific provisions that mandate an approach to creating or placing closure signs in these circumstances, and the USFS's decision about how to post notice of the closed trail was based on considerations of social, economic, or political public policy. Accordingly, the court affirmed the judgment. View "Gonzalez v. United States" on Justia Law