Hartshorne v. Whitefish
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The Supreme Court affirmed the ruling of the district court that Whitefish City did not engage in illegal spot zoning and reversed the district court's ruling that Whitefish City Ordinance 18-23, which specified additional conditional uses, violated the uniformity requirement found in Mont. Code Ann. 76-2-302(2), holding that the City acted within its discretion in enacting the ordinance.
This case involved an undeveloped parcel in The Lakes neighborhood known as Area 2(c). IO2.5, a series member of IO-3, LLC, filed a request with the City to amend Ordinance 99-9 to allow use of a conditional use permit (CUP) instead of a planned unit development (PUD) to develop Area 2(c). The City Council approved the request and approved Ordinance 18-23, directing amendment of the official zoning map and permitting development of Area 2(c) through a CUP instead of a PUD. Plaintiffs brought this complaint alleging that Ordinance 18-23 violates the statutory uniformity requirement. The district court struck the portion of Ordinance 18-23 that specified additional conditional uses. The Supreme Court held that the district court (1) did not err in ruling that Ordinance 18-23 did not constitute spot zoning; and (2) erred in ruling that Ordinance 18-23 violated section 76-2-302(2)'s uniformity requirement.
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