Justia Civil Rights Opinion Summaries
Articles Posted in Nebraska Supreme Court
State v. Chapman
The Supreme Court reversed the decision of the district court affirming the judgment of the county court overruling Defendant's motion for absolute discharge under Nebraska's speedy trial statutes, holding that Defendant was entitled to absolute discharge under the speedy trial statutes.The State filed theft charges against Defendant on March 29, 2017. When Defendant did not appear for a scheduled arraignment the county court issued a warrant for his arrest. On April 24, 2019, Defendant was arrested. Defendant moved for absolute discharge on the grounds that he had been denied his statutory right to a speedy trial. The county court overruled the motion, stating that the period of time during which the arrest warrant was pending was excluded under the speedy trial statutes. The Supreme Court reversed, holding (1) the lower courts erred in finding that the pendency of the warrant resulted in excluded time, and the State produced insufficient evidence at the speedy trial hearing that could support any other basis for excluded time; and (2) Defendant was entitled to absolute discharge under the speedy trial statutes. View "State v. Chapman" on Justia Law
Schaeffer v. Frakes
The Supreme Court affirmed the judgment of the district court dismissing Plaintiff's complaint brought under 42 U.S.C. 1983 alleging that officials within the Nebraska Department of Correctional Services (DCS) violated his federal constitutional rights in the calculation of his parole eligibility, holding that the district court did not err in dismissing the complaint for failure to state a claim.In his complaint, Plaintiff alleged that officials within the Nebraska Department of Correctional Services (DCS) violated his federal constitutional rights in calculating his parole eligibility date. In dismissing the complaint, the district court found that the United States Supreme Court's decision in Wilkinson v. Dotson, 544 U.S. 74 (2005), precluded him from bringing his complaint because he challenged the fact or duration of his confinement. The Supreme Court affirmed, holding that Plaintiff failed adequately to allege that DCS violated his federal constitutional rights in any respect. View "Schaeffer v. Frakes" on Justia Law
Gem City Bone & Joint, P.C. v. Meister
The Supreme Court vacated the judgment of the district court denying Michael Meister's motion to quash and vacate in a garnishment action that sought to collaterally attack a Wyoming judgment obtained by Gem City Bone and Joint, P.C. against Meister, holding that the Wyoming court incorrectly determined that it had jurisdiction over Meister as an individual.Earlier in the registration and enforcement process Meister and his professional corporation challenged the foreign judgment claiming that the Wyoming court lacked personal jurisdiction to enter judgment against either himself personally or his professional corporation. The district court disagreed and permitted the registration of the foreign order, a decision that Meister and his organization failed timely to appeal. Thereafter, Gem City requested a garnishment to enforce the registered judgment against Meister. In response, Meister filed a motion to quash the garnishment and to vacate the Wyoming judgment. The district court denied the motion. The Supreme Court vacated the judgment, holding that the Wyoming court improperly exercised jurisdiction over Meister as an individual. View "Gem City Bone & Joint, P.C. v. Meister" on Justia Law
State v. Lauhead
The Supreme Court affirmed Defendant's conviction and sentence for one count of attempted first degree sexual assault of a child and one count of child abuse, holding that the district court did not err by finding Defendant competent to stand trial and in sentencing Defendant.After convicting Defendant, the Supreme Court sentenced Defendant sentencing Defendant to incarceration for terms of twenty to twenty-two years and three years to be served concurrently. The Supreme Court affirmed, holding (1) the district court did not err in determining that Defendant was competent to stand trial; and (2) Defendant's sentences were within the statutory sentencing range, and Defendant failed to show that the district court considered improper factors or abused its discretion in sentencing him. View "State v. Lauhead" on Justia Law
REO Enterprises, LLC v. Village of Dorchester
The Supreme Court reversed the district court's order granting summary judgment for REO Enterprises, LLC and declaring that the Village of Dorchester's ordinance No. 684 unconstitutionally violated the Equal Protection Clauses of the United States and Nebraska Constitutions, holding that the ordinance did not violate the Equal Protection Clauses.REO filed a complaint requesting that the district court declare ordinance No. 684 void because it violated the Equal Protection Clauses. Specifically, REO argued that the ordinance treated tenants and owners of property differently when applying for utility services by requiring tenants to obtain a landlord's written guarantee that the landlord would pay any unpaid utility charges for the rented property. The district court entered summary judgment for REO. The Supreme Court reversed, holding that the ordinance's requirement that a residential tenant obtain a landlord's guarantee for initiating utility services did not violate the Equal Protection Clauses of the state and federal Constitutions. View "REO Enterprises, LLC v. Village of Dorchester" on Justia Law
State v. Theisen
The Supreme Court affirmed Defendant's plea-based convictions of conspiracy to distribute or deliver a controlled substance (hydrocodone), conspiracy to distribute or deliver a controlled substance (tramadol), and child abuse, holding that there was no reversible error in the proceedings below.Specifically, the Supreme Court held (1) the district court did not err in accepting Defendant's guilty pleas because the information expressly alleged overt acts in furtherance of the charged conspiracy to distribute and deliver hydrocodone and tramadol, and the factual basis was sufficient to satisfy Wharton's Rule and support Defendant's guilty pleas; (2) Defendant's assignment of ineffective assistance of trial counsel for counsel's failure to properly inform her of Wharton's Rule was without merit; and (3) the record was insufficient to reach Defendant's claim of ineffective assistance due to her trial counsel's alleged conflict of interest. View "State v. Theisen" on Justia Law
State v. Saitta
The Supreme Court affirmed Defendant's conviction and sentence for possession of a controlled substance, holding that the district court did not err when it overruled Defendant's motion to suppress.In his motion to suppress, Defendant asserted that he was seized in violation of the Fourth Amendment because the police didn't to have reasonable suspicion to detain and question him and that the search of his personal effects was unconstitutional because the circumstances did not justify a warrantless search. The trial court determined that reasonable suspicion supported a lawful detention for an investigatory stop and that probable cause existed to justify the search. The Supreme Court affirmed, holding (1) the detention of Defendant was an investigatory stop justified by reasonable suspicion; and (2) the search of Defendant's personal effects was undertaken with consent. View "State v. Saitta" on Justia Law
State v. Ely
The Supreme Court affirmed the order of the district court denying Defendant postconviction relief, holding that there was no merit to Defendant's ineffective assistance of counsel claims.Defendant was convicted of first degree murder on a felony murder theory and use of a deadly weapon to commit a felony. Defendant filed multiple motions for postconviction relief, which the district court denied without a hearing. On appeal, the Supreme Court found that Defendant was entitled to an evidentiary hearing on his claims of ineffective assistance of trial counsel for counsel's failure to advise him of his right to testify and ineffective assistance of appellate counsel for counsel's failure to assert on appeal that his right to self-representation was violated at trial. On remand, the district court found that Defendant was not entitled to relief. The Supreme Court reversed, holding that the trial court did not commit reversible error in denying relief on Defendant's two remaining claims. View "State v. Ely" on Justia Law
State v. Said
The Supreme Court affirmed Defendant's convictions and sentences for second degree murder and use of a weapon to commit a felony, holding that there was no abuse in the trial proceedings.Specifically, the Court held (1) any error in the admission of statements Defendant made during two interviews was harmless, and the district court did not err when it overruled Defendant's motion to suppress a letter to his sister; (2) the district court did not err when it overruled Defendant's motion to suppress evidence from the search of his cell phone; (3) the district court did not abuse its discretion when it prohibited Defendant from presenting evidence regarding the victim’s mental health and use of alcohol and prescription drugs; (4) the district court did not err when it denied Defendant the right to cross-examine a witness on issues the court determined to lack probative value; and (5) the district court did not err when it allowed evidence that results of certain DNA tests were uninterpretable. View "State v. Said" on Justia Law
In re Interest of Vladimir G.
The Supreme Court affirmed the order of the juvenile court adjudicating Abigail G.'s son, Vladimir G., to be a child within the meaning of Neb. Rev. Stat. 43-247(3)(a), holding that although Abigail could invoke her Fifth Amendment right not to testify in this adjudication, any error on the part of the juvenile court in requiring her testimony was not reversible.During the adjudication hearing, Abigail objected to testifying based on Fifth Amendment grounds. The court overruled Abigail's objection. After the hearing, the county court filed an order finding Vladimir to be a child within the meaning of section 43-247(3)(a). The Supreme Court affirmed, holding (1) even if the court erred in failing to determine that at least part of Abigail's testimony was incriminating and therefore protected by Abigail's invocation of her Fifth Amendment privilege, such error was not reversible because there was sufficient evidence to support the adjudication without such testimony and because Abigail's Fifth Amendment rights were not violated; and (2) there was sufficient evidence to support the adjudication that Vladimir was a child within the meaning of section 43-247(3)(a). View "In re Interest of Vladimir G." on Justia Law