Gallagher v. Best Wester Cottontree

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Geralyn Gallagher appealed when her lawsuit against the Best Western Cottontree Inn (the Hotel) and Snake River Peterson Properties LLC (Snake River) was dismissed. The district court held that the amended complaint did not relate back to the date of the original filing and that the statute of limitations was not tolled by Snake River’s failure to file a certificate of assumed business name. Gallagher argued that the amended complaint should relate back to the date that she filed the original complaint. Gallagher argued that because complaints can be amended at any time, and because the original complaint was filed within the statute of limitations, the amended complaint related back to that time. The district court found that because Gallagher was amending her complaint to name a new defendant, Idaho Rule of Civil Procedure 15(c) applied. Snake River did not have notice of the suit within the statute of limitations, the district court held that the amended complaint could not relate back. The Supreme Court concluded the district court’s conclusion was correct. Gallagher also argued the statute of limitations should have been tolled because Snake River failed to file a certificate of assumed business name with the Secretary of State. The district court found that because Gallagher’s only search was of the Secretary of State’s database, Gallagher did not exercise reasonable diligence in ascertaining the proper party. The district court therefore declined to toll the statute of limitations. Although the Supreme Court found that the district court correctly dismissed Gallagher’s personal injury action due to the expiration of the statute of limitations, the Court remanded this case in order to give the district court the opportunity to entertain a motion to amend the complaint to assert a cause of action against Snake River under Idaho Code section 53-509(2). View "Gallagher v. Best Wester Cottontree" on Justia Law