Justia Texas Supreme Court Opinion Summaries

Articles Posted in Civil Procedure
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The Supreme Court denied Relators' request for mandamus relief, holding that Tex. Gov't Code 22.004(i)'s prohibition on counter-supersedes refers to a particular procedural process, not an appellate court's temporary orders under other authority.In this ultra vires dispute, state regulators appealed an adverse temporary injunction. The trial court allowed Plaintiff, a school district, to counter-supersede the injunction so the regulators could not undertake unauthorized actions absent success on appeal. The court of appeals reversed the counter-supersedeas order, concluding that it was contrary to section 22.004(i) and Tex. R. App. P. 24.2(a)(3), but issued its own temporary order continuing the injunction pending disposition of the appeal. The Supreme Court denied mandamus relief, holding that the appellate court's temporary order did not conflict with section 22.004(i) because it was not counter-supersedes relief within the meaning of the statute. View "In re Texas Education Agency" on Justia Law

Posted in: Civil Procedure
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The Supreme Court reversed the judgment of the court of appeals holding that the trial court lacked jurisdiction over claims of a limited partner for harm done to the partnership because he lacked standing to bring the claims individually, holding that the appeal should be reconsidered in light of Pike v. Texas EMC Management, LLC, 610 S.W.3d 763 (Tex. 2020).Plaintiff formed multiple real estate-related partnerships and then sued his partners, later adding the partnerships as plaintiffs. Defendants filed a plea to the jurisdiction, asserting that Plaintiff individually lacked standing to bring claims against the individual individuals because the claims belonged to the partnerships. The trial court denied the plea. The court of appeals reversed and dismissed Plaintiff's individual claims for lack of jurisdiction, concluding that Defendant lacked standing to assert his original individual claims and that the doctrine of relation back could not create jurisdiction where none existed. The Supreme Court reversed, holding that the court of appeals' holding regarding standing was in direct conflict with Pike. View "Cooke v. Karlseng" on Justia Law

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The Supreme Court reversed the judgment of the court of appeals reversing a jury's finding that Jeffery Lee Stoddard was a sexually violent predator (SVP) and civilly committing him under Tex. Health & Safety Code chapter 841, holding that the court of appeals applied an improper standard.The court of appeals described the standard governing the factual sufficiency review in which the burden of proof was beyond a reasonable doubt the court of appeals described the standard as requiring the court to weigh the evidence in a neutral light to determined whether the jury's finding was factually insufficient or so against the great weight and preponderance as to be manifestly unjust, shock the conscience, or clearly demonstrate bias. The Supreme Court reversed, holding (1) the court of appeals applied an improper standard that allowed the court to substitute its own judgment for that of a reasonable fact-finder and incorporated a statutory element that chapter 841's text did not support; and (2) a properly conducted factual-sufficiency review in an SVP case requires the appellate court to determine whether, on the entire record, a reasonable factfinder could find beyond a reasonable doubt that the defendant is an SVP. View "In re Commitment of Jeffery Lee Stoddard" on Justia Law

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In this negligence action, the Supreme Court vacated the default judgment entered by the trial court in favor of Plaintiff after Defendants failed timely to file an answer or otherwise appear, holding that the substitute service in this case did not strictly comply with the order permitting such service.More than thirty days after the trial court's default judgment entry, Defendants filed a restricted appeal asserting that Plaintiff had failed properly to serve them with process. The court of appeals affirmed, holding that a discrepancy between the address at which the trial court authorized substitute service and the address where the process server actually sent substitute service did not invalidate service or the default judgment. The Supreme Court vacated the default judgment, holding that substitute service did not strictly comply with the trial court's order. View "Spanton v. Bellah" on Justia Law

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The Supreme Court reversed the judgment of the court of appeals reversing the trial court's grant of summary judgment for Defendants in this breach of contract and fiduciary duty action, holding that the court of appeals erred in finding that Defendants failed properly to authenticate uncertified copies of a prior jury verdict and judgment - documents upon which the motion for summary judgment relied.Approximately four thousand plaintiffs sued their former attorney and his law firm, alleging breach of contractual and fiduciary duties. The trial court granted summary judgment in favor of Defendants. The court of appeals reversed, concluding that the documents at issue were not properly authenticated and thus were not competent summary judgment evidence. The Supreme Court reversed, holding that the trial court properly exercised its discretion by finding the documents authentic and competent as summary judgment evidence. View "Fleming v. Wilson" on Justia Law

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In this cattle-feeding dispute, the Supreme Court affirmed the judgment of the court of appeals overturning the trial court's denial of Appellees' post-judgment motion to compel arbitration, holding that a party does not forfeit its right to challenge a ruling on appeal from a final judgment simply by choosing not to pursue an interlocutory appeal of that ruling.Appellants brought this action alleging fraud, unjust enrichment, and other claims. Appellees moved to dismiss the suit and compel arbitration, arguing that the claims were subject to the agreement's arbitration clause. The trial court denied the motion, and Appellees did not challenge the court's ruling through an interlocutory appeal. After the trial court rendered judgment Appellees appealed, arguing that the trial court erred when it denied their motion to compel arbitration. The court of appeals reversed and remanded with instructions that the trial court order the parties to arbitration. The Supreme Court affirmed, holding (1) the court of appeals had jurisdiction to consider the trial court's denial of Appellees' motion to compel arbitration; and (2) on the merits, the court of appeals did not err in ordering arbitration. View "Bonsmara Natural Beef Co. v. Hart of Texas Cattle Feeders, LLC" on Justia Law

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The Supreme Court reversed the judgment of the court of appeals dismissing Appellant's appeal of the trial court's grant of summary judgment for Plaintiff and against Defendants for want of jurisdiction, holding that, contrary to the decision of the court of appeals, the trial court's judgment was final and appealable.Plaintiff sued Defendants for declaratory judgment and monetary damages arising from a commercial construction project. The trial court awarded summary judgment in favor of Plaintiff. Despite the trial court's confirmation of its intent to render a final judgment, the court of appeals concluded that no final judgment had been rendered. The Supreme Court reversed, holding that the court of appeals erred by analyzing the record for evidence of finality after the trial court provided a clear and unequivocal statement that it had intended the appealed-from order to be a final judgment. View "Bella Palma, LLC v. Young" on Justia Law

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In this complaint alleging ultra vires claims against Mike Morath, in his official capacity as the Commissioner of the Texas Education Agency, the Supreme Court granted Respondents' motion to dismiss this appeal as moot, dismissed the case as moot, and vacated both the judgment and opinion of the court of appeals without respect to the merits, holding that the case must be dismissed as moot.Morath filed a plea to the jurisdiction, alleging that Respondents' claims could not proceed for several reasons. The trial court denied the plea to the jurisdiction, and the court of appeals affirmed. Morath petitioned for review. After Morath filed his merits brief, Respondents decided to stop pursuing their claims and filed a "notice of nonsuit without prejudice." Respondents then moved to dismiss the appeal as moot. Morath opposed the motion to dismiss, arguing that a non-suit was ineffective and, alternatively, that this appeal involved a matter of public concern. The Supreme Court dismissed the appeal, holding that that this case is now moot, and in the absence of jurisdiction this case must be dismissed. View "Morath v. Lewis" on Justia Law

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The Supreme Court reversed the judgment of the court of appeals upholding the trial court's grant of summary judgment without addressing its legal merit, holding that the trial court's recital in its final summary judgment order that it considered "the pleadings, evidence, and arguments of counsel" included a late-filed response and attached evidence.Plaintiff sued Defendant alleging that she had been sexually assaulted at work. Defendant moved for summary judgment, presenting traditional and no evidence grounds. The trial court granted the motion. On remand from the Supreme Court, the court of appeals affirmed, concluding that Plaintiff failed to file a timely response to the no-evidence motion and that the trial court did not consider the late-filed response. The court of appeals declined to consider the evidence that Defendant had attached to its combined motion because no timely response pointed out a fact issue raised by that evidence. The Supreme Court reversed, holding (1) the trial court's recital that it considered the "evidence and arguments of counsel," without limitation, was an "affirmative indication" that the trial court considered Plaintiff's response and the evidence attached to it; and (2) therefore, the court of appeals should have considered that evidence as well in its review of the trial court's summary judgment. View "B.C. v. Stake N Shake Operations, Inc." on Justia Law

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The Supreme Court reversed the judgment of the court of appeals ruling that, where the trial court granted a motion to dismiss without specifying the ground for its decision, the court of appeals did not have authority to order supplemental briefing but was instead required to affirm because of Appellants' failure to brief all possible grounds for the trial court's decision, holding that the court of appeals had the authority to order supplemental briefing.In this dispute over church assets, Appellees filed a motion to dismiss and a plea to the jurisdiction based on both standing and the ecclesiastical abstention doctrine. The trial court granted the motion but did not specify the grounds for its decision. Appellants appealed, but the appellate brief only addressed the standing issue. The court of appeals affirmed, holding that it lacked the authority to order supplemental briefing on the ecclesiastical abstention issue and was bound to affirm the trial court because Appellants failed to challenge all possible bases for the decision. The Supreme Court reversed, holding that because Appellants effectively raised the ecclesiastical abstention issue in their appellate briefing, the court of appeals had the authority to order additional briefing under Tex. R. App. P. 38.9. View "St. John Missionary Baptist Church v. Flakes" on Justia Law