Diversified Holdings, LLP v. City of Suwanee

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Appellant Diversified Holdings, LLP (“Diversified”) and the City of Suwanee (“the City”) were involved in a zoning dispute regarding the status of 30 acres of undeveloped land located in the City (“Property”). On the merits of the issues presented, the Georgia Supreme Court affirmed the trial court’s decision that there was no error in denying Diversified’s application to rezone the Property. But the Court clarified that the “substantially advances” standard that derives from constitutional due process guarantees had no place in an eminent domain or inverse condemnation proceeding. “Consequently, where a landowner claims harm from a particular zoning classification, inverse condemnation is not an available remedy unless the landowner can meet the separate and distinct requirements for such a claim.” The Court did not reach the City’s contention on cross appeal that the trial court erred in concluding that Diversified showed a substantial detriment based on the value of the Property as currently zoned versus its value if rezoned. View "Diversified Holdings, LLP v. City of Suwanee" on Justia Law