Justia Government & Administrative Law Opinion Summaries

Articles Posted in Government & Administrative Law
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The State entered into a Memorandum of Understanding (MOU) with the Union regarding terms and conditions of employment for certain state employees classified as bargaining unit 12. The State subsequently appealed the trial court’s order denying its petition to vacate or correct an arbitration award determining that DWR had violated article 16.7(G) of the MOU by using purged documents to support the adverse disciplinary action taken against the employee.The Court of Appeal concluded that the arbitration award interpreted and enforced article 16.7(G) of the MOU in a manner that constitutes a violation of the constitutional merit principle, because it impedes the ability of state departments to make reasonable and sound employment decisions based on merit. Therefore, the award violated public policy and the trial court erred in denying the petition. The court reversed the trial court's order on the petition and the ensuing judgment, remanding the matter to the trial court with instructions to enter a new order vacating the award. View "Department of Human Resources v. International Union of Operating Engineers" on Justia Law

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The Speaker of the Mississippi House or Representatives and the Speaker Pro Tempore alleged the Governor "ignored the dictates of [the Mississippi] Constitution, and exceeded his authority to strike parts of House Bill 1782 to partially veto appropriation bills. The Governor denies his acts were unconstitutional. Having reviewed the record of the chancery court proceeding, pertinent sections of the Mississippi Constitution, and case law addressing partial vetoes, the Mississippi Supreme Court concluded the Governor did not exceed the power of his office. "His partial veto comports with section 73 of our Constitution and therefore carried with it the authority endowed that office by the people of Mississippi." Accordingly, the judgment of the chancery court holding otherwise was reversed. View "Reeves v. Gunn" on Justia Law

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Robert Sharp shot and killed John Gorman during a firearm-training exercise ("a multitude of lapses in safety protocols"). Sharp and Gorman were employees of the Mississippi Gaming Commission and were acting in the course and scope of their employment. The Commission Shooting Review Board concluded that the incident “was an accidental discharge of an agency weapon,” it also concluded that the “failure to follow the prescribed policies, procedures and lesson plans” was the most significant contributing factor. After the incident, Gorman’s heirs began receiving automatic workers’ compensation payments. Each heir brought independent actions against the Commission that were later consolidated. Once consolidated, the Commission filed a joint motion for summary judgment in August 2017, stating the exclusivity of Mississippi Workers’ Compensation law barred further remedy. Gorman’s heirs opposed the motion by way of a pleading, memorandum, and a supplement with affidavits and admissions purportedly deemed admitted. The circuit court later granted summary judgment for the Commission. On appeal, the heirs argued: (1) the circuit court erred in determining the Workers' Compensation Act was the exclusive remedy to recover for the wrongful death of John Gorman; and (2) the circuit court erred in determining complete immunity applied regarding the Mississippi Tort Claims Act. Finding no triable issues of material fact in the record, the Mississippi Supreme Court affirmed the circuit court. View "Estate of Gorman v. Mississippi Gaming Commission" on Justia Law

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David Buller appealed a district court order granting a petition for commitment of a sexually dangerous individual. On January 23, 2020, the State filed a petition for civil commitment of Buller as a sexually dangerous individual. On January 28, 2020, following a preliminary hearing, the district court entered an order of dismissal of the petition after finding the State failed to establish Buller had a condition that was manifested by a sexual disorder, personality disorder, or other mental disorder or dysfunction. On January 30, 2020, sua sponte and without notice to the parties, the court issued an order vacating the prior order dismissing the petition and finding probable cause was established to commit Buller. On February 19, 2020, Buller filed a petition for writ of mandamus to this Court. This Court exercised supervisory jurisdiction and vacated the district court’s January 30, 2020 order after considering the procedural irregularity of the second order issued sua sponte and without notice to the parties. On March 6, 2020, the State filed a new petition and started a new proceeding seeking commitment of Buller as a sexually dangerous individual. Buller requested dismissal of the new petition asserting res judicata precluded a second petition because the January 28, 2020 order dismissing the petition following the preliminary hearing was not vacated in the first proceeding. After completion of an evaluation in which two doctors reached an opinion Buller met the criteria of a sexually dangerous individual, the district court again issued an order granting the petition seeking commitment. Buller argued the proceedings in this case were bared by res judicata and the order for commitment was not supported by clear and convincing evidence. Finding no reversible error, the North Dakota Supreme Court affirmed. View "Interest of Buller" on Justia Law

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Defendant-appellant Robert Allen appealed his conviction for depredation of government property. arguing his conviction violated both the Fifth Amendment’s Due Process Clause and separation of powers principles. Allen also appealed the district court’s restitution order of $20,300, claiming the order included restitution for uncharged conduct, and that the district court erred in applying the procedural framework of the Mandatory Victim Restitution Act (MVRA) by placing the burden on him to disprove the amount of loss contained in the presentence report and by ordering a restitution amount unsupported by evidence. After the parties completed briefing on this case, the government filed a notice of concession, acknowledging that the restitution order was erroneous and suggesting remand for resentencing on restitution. The Tenth Circuit affirmed Allen’s conviction, vacated the district court’s restitution order, and remanded the case to the district court to recalculate restitution. View "United States v. Allen" on Justia Law

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The Court of Appeals upheld the decision of the Board of Standards and Appeals of the City of New York (BSA) interpreting the definition of open space within the meaning of the New York City Zoning Resolution to encompass rooftop gardens accessible to a single building's residents as long as the residents of each building on the zoning lot receive at least a proportionate share of open space, holding that the BSA's determination was not arbitrary, capricious, or contrary to law.Plaintiff commenced this N.Y. C.P.L.R. 78 proceeding asserting that BSA's interpretation of open space had no legal basis under the Zoning Resolution. Supreme Court denied the petition. The Appellate Division reversed, determining that the definition of open space unambiguously required that open space be accessible to the residents of every building on a zoning lot. The Court of Appeals reversed, holding that the BSA's application of the definition of open space to multi-owner zoning lots was not arbitrary, capricious, or contrary to law. View "Peyton v. New York City Board of Standards & Appeals" on Justia Law

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In this appeal brought by the landowner in a condemnation proceeding the Supreme Court affirmed the judgment of the circuit court in all respects, holding that the circuit court did not err.After a trial, the circuit court entered a final order confirming the award entered by the Commissioner of Highways of $107,131 for the take and setting aside the award for damages to the residue. The Supreme Court affirmed, holding that the circuit court (1) did not abuse its discretion in refusing to admit ten-year-old site plans into evidence; and (2) did not err in deciding to strike the testimony of the owner of the property concerning damage to the residue of the property. As to Appellant's remaining assignment of error, the Supreme Court held that the doctrine of invited error foreclosed relief on the claim that the trial court "put the parties on terms." View "Palmyra Associates, LLC v. Commissioner of Highways" on Justia Law

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The First Circuit dismissed Appellant's appeal of the order of the district court dismissing Appellant's complaint seeking an order compelling the Board of Immigration Appeals (BIA) to rescind and reissue an order of removal it affirmed in 2013 and later refused to reopen, holding that the district court lacked subject matter jurisdiction.In 2013, the BIA affirmed an order authorizing the removal of Appellant to his country of origin. Appellant filed a motion to reopen his removal proceedings, which the BIA denied. Appellant then commenced this action in the United States District Court against officials of the Department of Justice claiming a right of action under the Administrative Procedure Act (APA) and any statutes providing for habeas corpus. The district court dismissed the complaint for failure to state a claim. The First Circuit dismissed Appellant's appeal, holding that Appellant's APA claim and habeas claim both arose from his removal proceedings and that the district court lacked subject matter jurisdiction over those claims. View "Gicharu v. Carr" on Justia Law

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The Supreme Court affirmed the ruling of the Workers' Compensation Court that Mont. Code Ann. 39-71-703(2) did not violate Appellant's right to equal protection by denying an impairment award to a worker with a Class 1 impairment who has suffered no wage loss, holding that the statute passes rational basis muster under the Equal Protection Clause of the Montana Constitution.Section 39-71-703(2) allows impairment awards for claimants without actual wage loss only if they have a Class 2 or higher impairment rating. Appellant, who was designated as Class 1 and was denied an impairment award, challenged the statute, arguing that it violated her constitutional right to equal protection because other workers with different injuries but the same whole-person impairment percentage would receive the award. The WCC denied the challenge. The Supreme Court affirmed, holding that the WCC did not err in its determination that section 39-71-703(2) did not violate the Equal Protection Clause. View "Hensley v. Montana State Fund" on Justia Law

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The Delaware Department of Natural Resources and Environmental Control reviewed wastewater treatment facility construction permit applications under regulations adopted in 1999. In 2014, DNREC revised its regulations and adopted new requirements. In this appeal, the issue presented for the Delaware Supreme Court was whether Artesian Wastewater Management, Inc.’s 2017 construction permit application, which Artesian characterized as an amendment to its existing 2013 wastewater treatment facility construction permit, had to comply with the new requirements of the 2014 regulations. The Environmental Appeals Board and the Superior Court decided Artesian did not have to comply with the new requirements. The Supreme Court agreed and affirmed. View "Keep Our Wells Clean, et al. v. DNREC" on Justia Law