Barbara Morey brought this action under the Federal Tort Claims Act in the United States District Court for the District of Massachusetts. Morey seeks to recover for the wrongful death of her son, Kevin Campbell, who was enlisted in the United States Navy at the time of his death, and whose death was allegedly caused by the Navy’s negligence. The district court dismissed the claim, ruling that it was barred because the death arose out of activity “incident to military service.” Morey appeals. We affirm.
Kevin Campbell enlisted in the Navy on August 27, 1984. At that time, he was found to be in good health and free from alcohol or drug involvement. However, in 1985, the military found him guilty of drunkenness on more than one occasion. In July 1985, a military physician diagnosed him as an alcohol abuser requiring rehabilitation. In October, 1985, a Navy Drug and Alcohol Program Adviser recommended Campbell for the Navy Alcohol and Drug Safety Action Program. The ship to which Campbell was assigned was in port from August, 1985 until Campbell’s death on May 12, 1986. During that time, Campbell’s superiors were allegedly aware that he was long overdue for rehabilitation. However, Campbell was never placed in the recommended alcohol rehabilitation program.
On the night of Campbell’s death, he had left his ship to visit friends in town. Prior to returning to his ship, Campbell apparently consumed a large quantity of alcohol. When he returned to the pier where his ship was docked, he fell off the pier and drowned.
On August 5, 1988, Morey, acting as the Administratrix of Campbell’s estate, sued the United States under the Federal Tort Claims Act, 28 U.S.C. §§ 2671-2680. Mor-ey alleges that Campbell’s death was caused by the Navy’s negligence and recklessness in the “design, supervision, maintenance, care and control of its programs and facilities.” Morey contends that the Navy failed to comply with its own Alcohol and Drug Safety Action Program regulations and negligently failed to enroll Campbell in a rehabilitation program. In addition, she argues that Campbell’s death was caused by the Navy’s negligent failure to provide adequate patrols and security around the pier. Morey seeks five million dollars in damages.
The district court dismissed the suit, ruling that it was barred under
Feres v. United States,
We find no error in the district court’s determination that Morey’s claim is barred under
Feres.
Contrary to Morey’s arguments on appeal, Campbell’s death clearly arose out of activities incident to military service. First, Campbell’s act of
Moreover, all of the acts or omissions complained of involved activity incident to military service. The claim that the Navy failed to place Campbell in a rehabilitation program plainly arises out of activity incident to military service, because Campbell was only eligible for this program by virtue of his military status.
See, e.g., Rayner v. United States,
Morey argues that
Feres
should not apply here, because the adjudication of Mor-ey’s claim will not require the district court to inquire into military decision making. The Supreme Court has said, “the situs of the [injury] is not nearly as important as whether the suit requires the civilian court to second guess military decisions and whether the suit might impair essential military discipline.”
United States v. Shearer,
In a final effort to avoid application of
Feres,
Morey requests that “this court
The judgment of the district court is affirmed.
Notes
. The fact that the suit was brought by the administratrix of the serviceman’s estate rather than the serviceman is not relevant for purposes of the
Feres
doctrine.
See United States v. Shearer,
. The investigative report relied on by Morey states that one Navy official gave as his explanation for not sending Campbell to rehabilitation that "His personal behavior and professional performance were of such quality that I did not pursue further alcohol treatment for him ... other personnel required immediate treatment, so priority to send Seaman Campbell demin-ished (sic).”
. Morey argues that adjudication of her claims will not require any second-guessing of military decision making, because the Navy has admitted "through its own internal investigation” that Campbell’s death was caused by Navy neglect. However, the government’s answer to the complaint indicates that it has not conceded negligence or causation. On the contrary, it clearly disputes these allegations. Even assuming that the internal investigation supports Morey’s allegations and that it would be admissible in a trial, that report is not binding on the government and would in no way preclude it from contesting liability.
