Barnett v. United States, No. 23-2221 (4th Cir. 2025)
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A tragic boat accident occurred when Edward Barnett, while navigating a coastal river, crashed into a dike, resulting in his and his coworker's deaths. Penny Jo Barnett, his widow, sued the Coast Guard, alleging that their failure to maintain navigational aids caused the crash. She claimed the Coast Guard did not properly maintain the lights that were supposed to warn mariners of the dike’s presence.
The United States District Court for the District of South Carolina ruled in favor of the Coast Guard after a bench trial. The court found that the Coast Guard was immune from the allegations under the discretionary function exception to the Suits in Admiralty Act (SIAA). The court also held that the failure to repair one non-working light on the dike did not breach the Coast Guard’s duty to repair aids to navigation in a reasonable time. Additionally, the court concluded that Edward Barnett’s own actions were the sole proximate cause of the accident.
The United States Court of Appeals for the Fourth Circuit reviewed the case and affirmed the district court’s judgment. The appellate court agreed that the discretionary function exception applied to the Coast Guard’s decisions regarding the brightness, flash sequence, and background lighting of the navigational aids. The court found no statute, regulation, or policy requiring the Coast Guard to take specific actions to alter or improve these aids. The court also upheld the district court’s finding that Edward Barnett’s actions, including exiting the navigable channel, not using a chart plotter, and traveling at high speed at night, were the sole proximate cause of the crash. Thus, the Coast Guard did not breach any duty under maritime negligence theory, nor did it cause the crash.
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