Armetta v. General Motors Corp.Armetta v. General Motors Corp.
The trial court did not abuse its discretion in restricting plaintiffs’ proof of their claim against the city, based on a theory of notice of a prior dangerous condition, by not allowing the introduction of a report titled "Preliminary Design of Street Improvements of Northern Boulevard” (hereinafter the Report). Nor did it err by limiting the city’s obligation to produce accident reports to reports regarding the same site and dating back two years before the accident. It is within the trial court’s discretion to determine what evidence is material and relevant (Hyde v County of Rensselaer,
The trial court did not err in dismissing the complaint against the owner of the diner prior to submitting the case to the jury since a ruling denying a prior motion for summary judgment "is not necessarily res judicata or the law of the case that there is an issue of fact in the case that will be established at the trial” (Sackman-Gilliland Corp. v Senator Holding Corp.,
Furthermore, to make out a prima facie case of negligence against the diner, plaintiffs would have had to establish that
The court also acted within its discretion in determining that plaintiff’s witness did not qualify as an expert on safety techniques for operating a tractor trailer (Werner v Sun Oil Co.,
Nor was it error to deny plaintiff a continuance to find another expert. "It is an abuse of discretion to deny a continuance where the application complies with every requirement of the law and is not made merely for delay, where the evidence is material and where the need for a continuance does not result from the failure to exercise due diligence” (Balogh v H.R.B. Caterers,