Justia North Carolina Supreme Court Opinion Summaries

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The Supreme Court affirmed the order of the trial court denying the motion for class certification brought by Plaintiffs, inmates in North Carolina Department of Public Safety (DPS) custody, seeking to represent certain individuals in DPS custody who are being or will be subjected to solitary confinement, holding that the trial court did not abuse its discretion.Plaintiffs filed a class action lawsuit seeking to certify a class of current and future inmates assigned to one of five restrictive housing classifications, alleging that the conditions of confinement constituted cruel or unusual punishment. The trial court denied Plaintiffs' motion for class certification, finding that a certifiable class did not exist. The Supreme Court affirmed, holding that the trial court did not abuse its discretion in concluding that Plaintiffs failed to demonstrate a common predominating issue among the proposed class members. View "Dewalt v. Hooks" on Justia Law

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The Supreme Court exercised is constitutional power to address constitutional violations through equitable remedies by affirming and reinstating the trial court's directive instructing certain State officials to transfer the funds necessary to comply with years two and three of the State's comprehensive remedial plan (CRP), holding that this Court has an obligation to safeguard the constitutional rights of North Carolina's schoolchildren.In November 2021, the trial court issued the order before the Supreme Court for review. In the order, the trial court declared that the State had failed to fulfill its constitutional obligations to provide school children, especially those at risk and socioeconomically disadvantaged, their constitutional right to a sound basic education. The trial court ordered the State to transfer the total amount of funds necessary to effectuate years two and three of the CRP. The State Controller sought an order preventing her from being required to comply with the trial court's order. The court of appeals issued a writ of prohibition restraining the trial court from proceeding in the matter. Thereafter, the trial court issued an order removing that transfer directive. The Supreme Court stayed the writ of prohibition and reinstated the trial court's November 2021 directive, holding that the judiciary must fulfill its obligation to protect the fundamental rights of the State's individuals. View "Hoke County Bd. of Education v. State" on Justia Law

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The Supreme Court affirmed the decision of the court of appeals determining that the trial court correctly denied Defendant's motion for a transcript of a prior trial and a motion to continue, holding that the trial court likely erred, but the error was harmless beyond a reasonable doubt.Defendant was charged with multiple driving offense arising from impaired driving. The first trial ended in a mistrial. Before the second trial, Defendant filed a motion for transcript seeking to obtain a transcript of the previous trial and a motion to continue. The trial court denied both motions, and a jury found Defendant guilty of all charges. The Supreme Court affirmed, holding that the trial court likely erred in failing to apply the two-party Britt test upon Defendant's requests for a transcript of the previous proceeding, but the error was harmless beyond a reasonable doubt. View "State v. Gaddis" on Justia Law

Posted in: Criminal Law
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The Supreme Court modified and affirmed the decision of the court of appeals upholding the revocation of Defendant's probation, holding that Defendant's confrontation argument under N.C. Gen. Stat. 15A-1345(e) was not preserved.Defendant pleaded guilty to discharging a weapon into occupied property and possession of a firearm by a convicted felon. Later, Defendant's probation was revoked following a determination that he had committed new criminal offenses. On appeal, Defendant argued that the trial court violated his constitutional right to confront witnesses against him at the probation hearing. The court of appeals affirmed, holding that there was no Sixth Amendment violation in this case. The Supreme Court modified and affirmed the judgment below, holding (1) a defendant's arguments under N.C. Gen. Stat. 15A-1345(e) are preserved when a defendant lodges a proper objection or the trial court does not permit confrontation and fails to make a finding of good cause; and (2) the condition requiring a finding of good cause was not satisfied in this case. View "State v. Jones" on Justia Law

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In this case involving the extent of a a trustee's duties and powers concerning litigation challenging trust amendments the Supreme Court held that the subject trustee had the power to defend the litigation and that the court of appeals erred by applying N.C. Gen. Stat. 31-36, a statute applicable to will caveats, to this trust proceeding.Plaintiffs brought this litigation seeking to set aside certain amendments to a Trust created by the decedent. Plaintiffs sought relief against the trustee, Goldman Sachs Trust Co., N.A., for what they claimed were invalid distributions to defendant beneficiaries. Defendant beneficiaries sought an order directing Goldman Sachs to pay them the costs of defending the Trust, after which one plaintiff filed a motion to "Freeze Administration of Revocable Trust Until Beneficiaries Are Determined or...to Pay Defense Costs for All Purported Beneficiaries." The trial court granted the motions to pay. The court of appeals reversed and remanded to the trial court for entry of an order allowing the motion to freeze. The Supreme Court held (1) the trial court did not err by instructing Goldman Sachs to pay defendant beneficaries' litigation expenses as distributions in this action; and (2) a duty to defend under N.C. Gen. Stat. 36C-8-811 arises only when the action may result in a loss to the trust estate. View "Wing v. Goldman Sachs Trust Co., N.A." on Justia Law

Posted in: Trusts & Estates
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The Supreme Court affirmed in part and reversed in part the decision of the court of appeals affirming the order of the trial court denying Nation Ford Baptist Church Inc.'s (Church) motion to dismiss the underlying complaint with respect to Pastor Phillip R.J. Davis's claim for a declaratory judgment, holding that certain claims must be dismissed for lack of subject matter jurisdiction.Pastor Davis filed a complaint against the Church and Nation Ford's Board of Directors, arguing that the Board exceeded its authority under the Church's corporate bylaws when it purported to terminate him by vote of the Board because the governing bylaws allowed termination only by vote of the Church's congregation at a special general meeting. The trial court denied the Church's motion to dismiss, and the court of appeals affirmed. The Supreme Court reversed in part, holding (1) Pastor Davis's claim for a declaratory judgment regarding the various bylaws can proceed; and (2) First Amendment principles required the dismissal of Pastor Davis's other claims. View "Nation Ford Baptist Church, Inc. v. Davis" on Justia Law

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The Supreme Court affirmed the decision of the court of appeals affirming the trial court's denial of Harnett Health Systems, Inc.'s motion to dismiss this medical malpractice complaint for failure to comply with Rule 9(j) of the North Carolina Rules of Civil Procedure, holding that there was no error.Plaintiff filed a medical malpractice complaint as the administrator of her husband's estate, alleging that Harnett Health violated the standard of care applicable to her husband at the time he was treated for renal failure. Plaintiff identified as an expert witness Dr. Gary Harris. Harnett Health moved to disqualify and exclude Dr. Harris on the grounds that he did not qualify as a standard of care expert under N.C. R. Evid. 702. The trial court granted the motion and then entered summary judgment in favor of Harnett Health. The court of appeals affirmed. The Supreme Court affirmed, holding (1) there was sufficient evidence to support the conclusion that Plaintiff reasonably believed her Rule 9(j) expert witness was willing to testify that Harnett Health violated the standard of care in the ways alleged in her complaint; and (2) the court of appeals utilized the correct standard of review in examining the trial court's grant of Harnett Health's motion to exclude another witness. View "Miller v. Carolina Coast Emergency Physicians, LLC" on Justia Law

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The Supreme Court reversed the decision of the court of appeals that reversed the order of the trial court declaring void two challenged amendments to the North Carolina Constitution, holding that the trial court should have considered whether invalidating both the Voter ID Amendment and the Tax Cap Amendment was necessary "upon balances the equities" of the situation.In the week of the final regular legislative session preceding the 2018 general election a General Assembly composed of legislators elected from districts that the United States Supreme Court determined to have resulted from unconstitutional racial gerrymandering enacted legislation presenting constitutional amendments that were ultimately ratified by a majority of voters. At issue were Session Law 2018-119 (the Tax Cap Amendment) and Session Law 2018-128 (the Voter ID Amendment). The Supreme Court held (1) N.C. Const. Art, I, 2-3 imposes limits on the authority of legislators electors due to unconstitutional racial gerrymandering to alter the constitution; but (2) the trial court's order invalidating the two challenged amendments swept too broadly, such that remand was required. View "N.C. NAACP v. Moore" on Justia Law

Posted in: Election Law
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The Supreme Court modified and affirmed the decision of the court of appeals affirming an order of the superior court resentencing Defendant on his first-degree murder conviction to life with the possibility of parole after twenty-five years and running his first-degree kidnapping sentence consecutively with his murder sentence, holding that Defendant failed to show prejudice.Defendant filed a motion for appropriate relief seeking sentencing under Miller v. Alabama, 567 U.S. 460 (2012). The trial court allowed the motion and resentenced Defendant. On appeal, the court of appeals rejected Defendant's claim that he received ineffective assistance of counsel at sentencing. The Supreme Court affirmed as modified, holding (1) the reasoning below is rejected to the extent it incorrectly suggested that the resentencing court lacked authority to run Defendant's first-degree murder sentence concurrently with his robbery with a dangerous weapon sentences; and (2) the court of appeals correctly concluded that Defendant could not demonstrate prejudice. View "State v. Oglesby" on Justia Law

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The Supreme Court reversed the opinion rendered by the court of appeals affirming the trial court's judgment entered upon the jury's verdict in favor of Defendants in this medical malpractice case, holding that it is appropriate to overrule Byrd v. Marion General Hospital, 202 N.C. 337 (1932), as it is applied to the facts of this case.During the preparation of an "ablation procedure" on three-year-old Amaya Gullatte's heart and shortly after she was induced with the anesthetic sevorflurance Amaya went into cardiac arrest, resulting in the onset of permanent brain damage, cerebral palsy, and profound developmental delay. During trial, the court excluded evidence offered by Plaintiffs intended to show that Certified Registered Nurse Anesthetist Gus Vansoestbergen breached the professional duty of care governing his participation in the preparation and administration of the course of anesthesia. The ruling was dictated by the application of the principle set forth in Byrd establishing that nurses categorically do not owe a duty of care under the circumstances of this case. The jury rendered a verdict in favor of Defendants. The Supreme Court reversed the trial court's exclusion of Plaintiffs' expert testimony, holding that it is appropriate to overrule Byrd as it is applied to the facts of this case. View "Connette v. Charlotte-Mecklenburg Hospital Authority" on Justia Law