Fritz v. Washoe County

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Appellants filed an inverse condemnation complaint against Washoe County alleging that the County approved subdivision maps, directed the flow of water, and accepted street dedications during the building process of two upstream developments that increased the flow of water to Whites Creek and caused flooding to Appellants’ property. The district court granted summary judgment in favor of Washoe County, concluding that the County’s approval of subdivision maps and acceptance of dedications did not constitute substantial involvement sufficient to support a claim for inverse condemnation. The Supreme Court reversed, holding that genuine issues of material fact existed as to whether the County’s action constituted substantial involvement in the drainage system sufficient to support a claim for inverse condemnation. View "Fritz v. Washoe County" on Justia Law