Peak Alarm v. Salt Lake City Corp.
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Michael Howe, an employee of Peak Alarm Company, filed a complaint against the City and several of its employees, presenting ten federal and state claims, including false arrest and defamation. The district court granted summary judgment in favor of Defendants on these and other state claims on the ground that Howe failed to comply with the procedural requirements of the Utah Governmental Immunity Act (UGIA). The supreme Court reversed, holding that the claims were timely brought under the UGIA. On remand, Defendants again moved for summary judgment, arguing that the state defamation and false arrest claims were barred by the one-year statute of limitations. The district court denied the motion on the ground that the claims had been timely brought under the UGIA. The Supreme Court affirmed, holding that the UGIA comprehensively governs claims against governmental parties such that plaintiffs are not bound to observe the statute of limitations that would apply to claims against private parties.
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