The Court of Appeals affirmed the decision of the Industrial Commission on the ground that under the State Tort Claims Act, N.C.G.S. § 143-291 (1993), sovereign immunity is waived only for negligent acts. The plaintiff alleged in this case that the acts of the members and employees of the Parole Commission were wanton, reckless, malicious, and grossly negligent. The Court of Appeals held that the Tort Claims Act waived the State’s sovereign immunity only for ordinary negligence, and the plaintiff has alleged more than ordinary negligence. The Court of Appeals said this deprived the Industrial Commission of jurisdiction.
We disagree with the reasoning of the Court of Appeals. In
Jenkins v. N.C. Dep’t of Motor Vehicles,
Nevertheless, we affirm the decision of the Court of Appeals on other grounds. The defendants in this case are public officials. “As long as a public officer lawfully exercises the judgment and discretion with which he is invested by virtue of his office, keeps within the scope of his official authority, and acts without malice or corruption, he is protected from liability.”
Smith v. State,
The Industrial Commission correctly dismissed the claims.
MODIFIED AND AFFIRMED.
