Garver v. Rosenberg

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Plaintiffs filed a medical malpractice action against Defendant, and the claims brought by one of the plaintiffs were referred to arbitration. After an arbitration panel issued its decision but prior to the district court confirming that ruling and disposing of the remaining claims, Plaintiffs appealed. After the district court’s subsequent ruling, the Supreme Court dismissed as premature Plaintiffs’ appeal. More than sixty days after entry of the judgment, Plaintiffs filed a Utah R. Civ. P. 60(b) motion seeking to reissue the judgment based on the presumption that the district court lacked jurisdiction to enter its previous judgment because it had been divested of jurisdiction by Plaintiffs’ premature notice of appeal. The district court agreed and reissued the judgment, purporting to “amend” the judgment, without substantively altering the original decision. Plaintiffs then filed another notice of appeal. The Supreme Court dismissed the appeal, holding that the district court had jurisdiction to issue the original judgment, and because Plaintiffs failed to timely appeal that judgment, the Supreme Court lacked jurisdiction to address any challenge to the merits. View "Garver v. Rosenberg" on Justia Law