Nesti v. Agency of Transportation et al.
Annotate this CaseLandowner Frances Nesti appealed two civil-division orders resolving multiple claims in favor of the Vermont Agency of Transportation (VTrans). In 2006, VTrans rebuilt Route 7 in South Burlington and Shelburne. The new system directed stormwater downhill from the road in a westerly direction toward Lake Champlain. Nesti’s property abutted the lake, west of Route 7. Stormwater flowed over the depression from time to time before 2006. Nesti engaged in a series of conversations with VTrans and Department of Environmental Quality (DEQ) personnel regarding the issue beginning in 2009 or 2010. Nesti filed suit at the end of 2018, seeking damages and injunctive relief. She initially pleaded takings, trespass, and private-nuisance claims, and later added claims of ejectment and removal of lateral support. VTrans moved to dismiss all claims on the basis that each was barred by the six-year statute of limitations for civil actions, 12 V.S.A. § 511, and the doctrine of sovereign immunity. VTrans also argued the ejectment and lateral support causes of action failed to state a claim. Nesti countered that the fifteen-year statute of limitations for actions for recovery of land, 12 V.S.A. § 501, applied to each claim rather than § 511, and the continuing-tort doctrine caused her trespass and nuisance claims to continually accrue with each new runoff event, even if the claims were subject to § 511. The civil division dismissed Nesti’s takings, trespass and nuisance claims, concluding that the applicable statute of limitations was § 511, not § 501. However, the court permitted Nesti’s trespass and nuisance claims to proceed to summary judgment on the question of whether they were continuing torts, and denied the State’s motion to dismiss them under the doctrine of sovereign immunity. VTrans moved to dismiss the remaining claims, but the civil division denied the motion, but found VTrans was not equitably estopped from raising a statute-of-limitations defense. The Vermont Supreme Court concluded Nesti's claims were time-barred under the § 511, and affirmed the civil division's judgment.
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.