Justia Native American Law Opinion Summaries

Articles Posted in Connecticut Supreme Court
by
The Supreme Court reversed in part the judgment of the trial court sustaining Plaintiffs' administrative appeal and remanding this case to the Commissioner of Banking for further proceedings as to Plaintiffs' entitlement to tribal sovereign immunity in administrative proceedings, holding that the trial court erred in part.At issue was whether a business entity shared sovereign immunity with Otoe-Missouria Tribe of Indians, a federally-recognized tribe. On appeal, Plaintiffs - Clear Creek Lending, Great Plains Lending, LLC, and John Shotton, chairman of the Tribe - claimed that the trial court improperly allocated the burden of proving entitlement to tribal sovereign immunity to Plaintiffs, improperly required proof of a functioning relationship between the entities and the tribe, and improperly failed to find Shotton immune in further administrative proceedings. The Supreme Court reversed in part, holding (1) the entity claiming arm of the tribe status bears the burden of proving its entitlement to that status; (2) Great Plains was an arm of the tribe and Shotton was entitled to tribal sovereign immunity but not injunctive relief; and (3) there was insufficient evidence that Clear Creek was an arm of the tribe as a matter of law. View "Great Plains Lending, LLC v. Department of Banking" on Justia Law

by
Plaintiffs filed an action against Defendant alleging that they sustained injuries as a result of Defendant’s negligence. The accident underlying Plaintiffs’ claims occurred while Defendant was acting within the scope of his employment with the Mohegan Tribal Gaming Authority. Defendant filed a motion to dismiss the complaint, asserting that the trial court lacked subject matter jurisdiction because he was entitled to tribal sovereign immunity on Plaintiffs’ claims. The trial court denied Defendant’s motion to dismiss on the basis that Plaintiffs sought money damages from Defendant personally, not from the Authority. The Supreme Court reversed, holding that the doctrine of tribal sovereign immunity extended to Plaintiffs’ claims against Defendant because Defendant was an employee of the Mohegan Tribe and was acting within the scope of his employment when the accident occurred. View "Lewis v. Clarke" on Justia Law