Sanitary & Improvement District No. 67 v. State
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In this inverse condemnation action, the Supreme Court affirmed the judgment of the district court dismissing the action on the pleadings, finding that the sanitary and improvement district (SID) lacked standing, holding that an SID is incapable of bringing an inverse condemnation action against the State.
SID No. 67 of Sarpy County filed a petition for compensation in the county court for Sarpy County, claiming that the rerouting of access to the highway effected a damaging or taking of its property. The county court denied compensation. On review, SID 67 again alleged inverse condemnation. The district court dismissed the action on the pleadings for lack of standing, concluding that SID 67 was not a real party in interest. The Supreme Court affirmed, holding that SID 67 was not a "person" having "private property" and thus did not have standing to bring an inverse condemnation action against the State.
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