Wilkins v. United States, No. 20-35745 (9th Cir. 2021)
Annotate this Case
The Ninth Circuit affirmed the district court's dismissal based on lack of subject matter jurisdiction of an action brought under the Quiet Title Act (QTA) against the United States, seeking to confirm that an easement granted to plaintiffs' predecessors-in-interest did not permit public use of the Robbins Gulch Road, and to enforce the government's obligations to patrol and maintain the road against unrestricted public use.
The panel reaffirmed that the QTA's statute of limitations is jurisdictional and dispositive in this case. The panel explained that prior Supreme Court and Ninth Circuit precedent are still controlling, even though for other statutes the Supreme Court has more recently set forth a seemingly different framework for assessing whether a statute of limitations is jurisdictional. Furthermore, the jurisdictional question and the merits question are not so intertwined that dismissal was improper because the determination of jurisdiction is not dependent on the merits of plaintiffs' claims. Finally, the panel rejected plaintiffs' remaining contentions, which are addressed in a separate memorandum disposition filed simultaneously with this opinion.
Court Description: Quiet Title Act. The panel affirmed the district court’s dismissal for lack of subject-matter jurisdiction of a Quiet Title Act (“QTA”) action brought by appellants against the United States seeking to confirm that an easement for Robbins Gulch Road near Connor, Montana, granted to appellants’ predecessors- in-interest, did not permit public use of the road, and to enforce the government’s obligations to patrol and maintain the road against unrestricted public use. The district court granted the government’s motion to dismiss based on the district court lacking subject-matter jurisdiction because the QTA’s statute of limitations was jurisdictional and had expired. The panel held that the district court did not err in determining that the QTA’s statute of limitations was jurisdictional. Prior Supreme Court and Ninth Circuit precedent declaring the QTA’s statute of limitations jurisdictional was dispositive here, even though for other statutes the Supreme Court recently set forth a seemingly different framework for assessing whether a statute of limitations was jurisdictional. The panel concluded that the district court did not err in granting the government’s Fed. R. Civ. P. 12(b)(1) motion to dismiss on those grounds. WILKINS V. UNITED STATES 3 The panel held that the question of when appellants’ claims accrued was not so intertwined with the merits as to make dismissal improper. Here, the question of whether the court has jurisdiction to hear this case was not dependent on resolving the underlying merits. The panel held further that appellants’ argument – that the jurisdictional and merits questions were intermeshed because the same evidence was relevant to both – had no merit. The panel concurrently filed a memorandum disposition addressing appellants’ remaining arguments.
The court issued a subsequent related opinion or order on May 8, 2023.
Some case metadata and case summaries were written with the help of AI, which can produce inaccuracies. You should read the full case before relying on it for legal research purposes.
This site is protected by reCAPTCHA and the Google Privacy Policy and Terms of Service apply.