Justia Massachusetts Supreme Court Opinion Summaries
In re Care & Protection of Zeb
The Supreme Judicial Court affirmed the judgment of the juvenile court terminating Mother's parental rights to her child and granting permanent guardianship to the child's paternal grandmother, holding that the juvenile court properly exercised its authority even where the Department of Children and Families did not have physical custody of the child when they petitioned for termination.While the child was still in his grandmother's custody the Department filed a notice of intent requesting that the juvenile court terminate Mother's parental rights pursuant to Mass. Gen. Laws ch. 210, 3. The judge found Mother unfit, terminated her parental rights, and ordered conditional permanent custody to the grandmother. The Supreme Judicial Court affirmed, holding that the judge was warranted in terminating Mother's parental rights. View "In re Care & Protection of Zeb" on Justia Law
Posted in:
Family Law
Tracer Lane II Realty, LLC v. City of Waltham
The Supreme Judicial Court affirmed the judgment of the land court judge determining that the decision of Waltham officials not to allow a developer to construct an access road to certain property was improper, holding that there was no error.The developer in this case sought to build a solar energy system in Lexington and an access road to the facility to Waltham. The access road would be on property zoned for residential use, and the system would be on property zoned for commercial use. When Waltham officials indicated informally that the developer could not construct the access road because it would constitute a commercial use in a residential zone the land court the developer brought suit seeking a declaration that Waltham could not prohibit the developer from building the road. The land court judge granted summary judgment for the developer. The Supreme Judicial Court affirmed, holding that Mass. Gen. Laws ch. 40A, 3 prohibited Waltham from banning the solar energy system, including its access road, from all but one to two percent of Waltham's land area. View "Tracer Lane II Realty, LLC v. City of Waltham" on Justia Law
Posted in:
Real Estate & Property Law
Commonwealth v. Gebo
The Supreme Judicial Court affirmed Defendant's conviction of assault and battery by means of a dangerous weapon, holding that the trial court did not abuse its discretion in denying Defendant's request for a jury-waived trial on the ground that it gave the appearance of "judge shopping" and that the evidence was sufficient to support the conviction.Defendant was charged with two counts of assault and battery by means of a dangerous weapon (a chair and a blunt object) on a person aged sixty or older. Defendant filed a request for a jury-waived trial, which the trial judge denied. After a trial, Defendant was found guilty. The Supreme Court affirmed, holding (1) the trial judge did not abuse his discretion in denying Defendant's request for a jury waiver; and (2) there was sufficient evidence to establish beyond a reasonable doubt that the chair was a "dangerous weapon" within the meaning of Mass. Gen. Laws ch. 265, 15A. View "Commonwealth v. Gebo" on Justia Law
Posted in:
Criminal Law
Commonwealth v. Moore
The Supreme Judicial Court affirmed Defendant's convictions for four counts of murder in the first degree on the theory of felony-murder and the order denying his motion for a new trial and declined to grant relief under Mass. Gen. Laws ch. 278, 33E, holding that Defendant was not entitled to relief on any of his allegations of error.Specifically, the Supreme Judicial Court held (1) the judge did not abuse his discretion in denying Defendant's motion for a new trial; (2) Defendant's trial counsel did not provide ineffective assistance of counsel; (3) Defendant's argument that exculpatory evidence pointed to another suspect was unavailing; (4) the prosecutor did not commit misconduct during closing arguments; and (5) the judge did not abuse his discretion in declining to strike a juror. View "Commonwealth v. Moore" on Justia Law
Commonwealth v. Exxon Mobil Corp.
The Supreme Judicial Court affirmed the judgment of a superior court judge denying the special motion to dismiss under Mass. Gen. Laws ch. 231, 59H, the anti-SLAPP statute, filed by Exxon Mobil Corporation in this civil enforcement action brought by the Attorney General, holding that the anti-SLAPP statute does not apply to civil enforcement actions by the Attorney General.The Attorney General brought this action against Exxon Mobil for various alleged violations of Mass. Gen. Laws ch. 93A based on the company's communications regarding the impact of climate change with investors and consumers. Exxon Mobil filed an anti-SLAPP motion, asserting that the action was motivated by its "petitioning" activity. The superior court judge denied the motion on the ground that at least some of the activity alleged in the complaint was not "petitioning" under the statute. The Supreme Judicial Court affirmed on an alternate ground, holding that Mass. Gen. Laws ch. 231, 59H does not apply to civil enforcement actions brought by the Attorney General. View "Commonwealth v. Exxon Mobil Corp." on Justia Law
Posted in:
Civil Rights, Consumer Law
FBT Everett Realty, LLC v. Massachusetts Gaming Commission
The Supreme Judicial Court affirmed in part and reversed in part the judgment of the superior court dismissing FBT's claim against the Massachusetts Gaming Commission alleging intentional interference with a contract and granting summary judgment on the remaining regulatory taking claim, holding that summary judgment on the regulatory takings claim was improper.Plaintiff brought this suit against the Commission alleging various claims including tortious interference with contract and a regulatory taking after the Commission refused to allow Plaintiff to receive a "casino-use premium" on the sale of a parcel of land in Everett. The superior court dismissed the tortious interference claim and granted summary judgment on the regulatory takings claim. The Supreme Judicial Court reversed the grant of summary judgment on the regulatory takings claim, holding that there were material disputed facts at issue precluding summary judgment. View "FBT Everett Realty, LLC v. Massachusetts Gaming Commission" on Justia Law
Pearson v. Sheriff of Bristol County
The Supreme Judicial Court held that the Massachusetts Legislature, through the provisions of St. 2009, ch. 61, 12(a), 12(c), 15, or Mass. Gen. Laws ch. 127, 3, taken separately or together, authorize the Bristol County Sheriff's Office to raise revenues for the Office of the Sheriff through inmate calling service contracts.At issue was whether St. 2009 ch. 61 section 12(a), an act transferring county sheriffs to the Commonwealth, granted authority to the Bristol County Sheriff's Office to raise revenues for his office through an inmate calling service contract with a third-party vendor. The Supreme Judicial Court answered the certified question in the positive, holding that the act, independently and buttressed by sections 12(c) and 15, authorized the Bristol County sheriff's office to collect and retain revenue from inmate calling service contracts in the unmodified special act. View "Pearson v. Sheriff of Bristol County" on Justia Law
Posted in:
Government Contracts
VAS Holdings & Investments LLC v. Commissioner of Revenue
The Supreme Judicial Court reversed the decision of the Appellate Tax Board in this case concerning the constitutional restraints on the Commonwealth's ability to tax a nondomiciliary corporation on the capital gain it repealed from the sale of its fifty percent membership interest in an in-State limited liability company, holding that the tax in question was invalid.On appeal, the Commissioner of Revenue conceded that, under the unitary business principle as applied to the facts of this case, the capital gain at issue in this case was not taxable in the Commonwealth, but that the capital gain may nonetheless be taxed because it reflects the in-State entity's growth in the Commonwealth. The Supreme Judicial Court disagreed, holding (1) the capital gain could be subject to the Commonwealth's tax; but (2) the Commissioner lacked the requisite statutory authority to tax the capital gain. View "VAS Holdings & Investments LLC v. Commissioner of Revenue" on Justia Law
Posted in:
Tax Law
McNeff v. Cerretani
The Supreme Judicial Court reversed the judgments denying Defendant's motion to file an appeal bond late and allowing Plaintiff's motion to dismiss Defendant's appeal from a summary process judgment, holding that the decision to allow Plaintiff's motion to dismiss on the basis that Defendant had not filed the bond was erroneous.Plaintiff and Defendant were the two children of the decedent and each had an interest in property that the decedent owned, where Defendant resided with the decedent at the time of the decedent's death. Plaintiff, the personal representative of the decedent's estate, commenced this summary process action to have Defendant removed. The housing court judge granted Plaintiff judgment for possession and set an appeal bond. Defendant filed a motion to pay the appeal bond late, which the judge denied. The judge then allowed Plaintiff's motion to dismiss the appeal. The Supreme Judicial Court reversed, holding that the judge was mistaken about his lack of authority allow Defendant's motion to file the appeal bond late, requiring remand for further proceedings. View "McNeff v. Cerretani" on Justia Law
Posted in:
Real Estate & Property Law
Commonwealth v. Duke
The Supreme Judicial Court affirmed Defendant's conviction of felony-murder in the first degree and the denial of his motion for a new trial, holding that there was no error that would necessitate a new trial, and there was no reason for the Court to exercise its authority under Mass. Gen. Laws ch. 278, 33E to order a new trial or to reduce the conviction to a lesser degree of guilt.On appeal, Defendant argued, among other things, that his felony-murder conviction must be reversed because his accomplice was killed during a struggle with the intended robbery victim, and therefore, the theory of felony-murder was inapplicable. The Supreme Judicial Court affirmed, holding (1) the felony-murder rule was applicable; (2) the evidence was sufficient to support Defendant's convictions; and (3) Defendant's remaining assignments of error were without merit. View "Commonwealth v. Duke" on Justia Law