Jones v. Morey Pier, Inc.

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This appeal arose out of the tragic death of eleven-year-old Abiah Jones after she fell from a ride in an amusement park. The issues this case presented for the New Jersey Supreme Court’s consideration was: (1) the circumstances under which a defendant is barred from asserting contribution and common-law indemnification claims against a public entity for purposes of the Tort Claims Act; (2) whether the jury should be permitted to allocate a percentage of fault to a public entity pursuant to the Comparative Negligence Act and the Joint Tortfeasors Contribution Law; and (3) the effect of any such allocation of fault on plaintiffs recovery of damages if the jury returns a verdict in their favor. The Supreme Court reversed the trial court’s determination. The plain language of N.J.S.A.59:8-8 required parties seeking to assert a claim against a public entity to serve a notice of claim within ninety days of the date on which the cause of action accrues. Because the Morey defendants did not serve a timely notice of claim on the Association, their third-party contribution and common-law indemnification claims against the Association are barred. The New Jersey Supreme Court held that the trial court should have afforded defendants an opportunity to present evidence of negligence, that negligence was a proximate cause of Abiah Jones’s death. If defendants present prima facie evidence, the trial court should instruct the jury to determine whether any fault should be allocated in accordance with N.J.S.A.2A:15-5.2. Should the jury find negligence was a proximate cause of Abiah Jones’s death, the trial court should mold any judgment entered in plaintiffs’ favor pursuant to N.J.S.A.2A:15-5.2(d) to reduce the damages awarded to plaintiffs by the percentage of fault that the jury allocates. View "Jones v. Morey Pier, Inc." on Justia Law