Arthel Barner appeals the summary judgment entered in favor of the Missouri Gaming Company d/b/a Argosy Riverside Casino (Argosy) in his personal injury action. The judgment of the trial court is affirmed.
Mr. Barner filed his petition for damages on April 1, 1999. In his petition, Mr. Barner alleged that he was a customer at Argosy, a casino located on board the Argosy IV riverboat, on June 16, 1995. He further alleged that while standing in an aisle waiting for a seat at a poker table, a waitress bumped into him spilling hot coffee on his right arm between his elbow and shoulder. As a result of the coffee spill, he flinched and jumped away tearing his right rotator cuff. Mr. Barner sought damages for his medical bill, past wage losses, and pain and suffering. The trial court granted Argosy’s motion for summary judgment finding that maritime law governed the case and that the three-year statute of limitations set forth in 46 U.S.C. § 763 barred the action. This appeal followed.
On appeal, Mr. Barner claims that the trial court erred in granting Argosy’s motion for summary judgment based on the running of the maritime statute of limitations. He contends that the trial court erred in applying maritime law because (1) the Argosy IV was not a vessel in navigation, (2) the alleged tort did not occur during the course of traditional maritime activity, (3) the incident did not have the potential of affecting maritime commerce, (4) state law preempts federal maritime law under the facts of this case, and (5) state interests prevail over federal interests in this case. Mr. Barner also contends that the trial court erred in granting summary judgment because material facts were genuinely disputed. 1 Finally, Mr. Barner claims that even if maritime law applied in this case, the trial court should have extended the three-year statute of limitations period based on the federal equitable tolling doctrine.
Appellate review of the grant of summary judgment is
de novo. ITT Commercial Fin. Corp. v. Mid-America Marine Supply Corp.,
Summary judgment will be upheld on appeal if the movant is entitled to judgment as a matter of law and no genuine issues of material fact exist. Id. at 377. Facts contained in affidavits or otherwise in support of a party’s motion are accepted as true unless contradicted by the non-moving party’s response to the summary judgment motion. Id. at 376. A defending party may establish a right to judgment as a matter of law by showing any one of the following: (1) facts that negate any one of the elements of the claimant’s cause of action, (2) the non-movant, after an adequate period of discovery, has not and will not be able to produce evidence sufficient to allow the trier of fact to find the existence of any one of the claimant’s elements, or (3) there is no genuine dispute as to the existence of each of the facts necessary to support the movant’s properly-pleaded affirmative defense. Id. at 381.
Once the movant has established a right to judgment as a matter of law, the non-movant must demonstrate that one or more of the material facts asserted by the movant as not in dispute is, in fact, genuinely disputed. Id. The non-moving party may not rely on mere allegations and denials of the pleadings, but must use affidavits, depositions, answers to interrogatories, or admissions on file to demonstrate the existence of a genuine issue for trial. Id.
A party seeking to invoke admiralty jurisdiction over a tort claim must satisfy conditions of both location and a connection with maritime activity.
Jerome B. Grubart, Inc. v. Great Lakes Dredge & Dock Co.,
The cause of action in this case involved a maritime tort, and general maritime law applied. First, the location condition was satisfied. The undisputed evidence revealed that on June 16, 1995, the day of the alleged tort, Mr. Barner was a passenger aboard the Argosy IV, a fully
The connection with maritime activity condition was also satisfied in this case. First, considering the general features of the incident involved — a passenger injured on a riverboat on a navigable waterway due to the negligence of an employee on the riverboat — the incident had a potentially disruptive impact on maritime commerce.
See Acceptance Ins.,
Mr. Barner raises the additional arguments that state law preempts federal maritime law and state interests prevail over federal interests under the facts of this case. He also claims that even if maritime law did apply in this case, the trial court should have extended the three-year statute of limitations period based on the federal equitable tolling doctrine. Mr. Barner did not, however, raise these arguments before the trial court. Appellate review of a grant of summary judgment is limited to those issues put before the trial court.
Country Mut. Ins. Co. v. Matney,
The incident forming the basis of this tort action satisfied all of the requirements of admiralty jurisdiction, and general maritime law applied.
Yamaha Motor Corp., U.S.A. v. Calhoun,
LOWENSTEIN, and HOLLIGER, JJ. concur.
Notes
. Mr. Barner conceded in oral argument of this case that he abandons his argument that material facts were genuinely disputed.
