651 P.2d 94 | Nev. | 1982
OPINION
This is a wrongful death action in which the district court
Appellants’ decedent died on June 19, 1979. The complaint was filed on June 19, 1981. Appellants contend, among other things, that the applicable statute of limitations is NRS 11.190(4)(e),
In Romaine v. State Farm Mut. Auto. Ins. Co., 87 Nev. 257, 485 P.2d 102 (1971), we held that NRCP 6(a)
Applying NRCP 6(a) to this case, the date of death should not have been included in computing the limitations period.
We reverse the judgment, and we remand for further proceedings.
NRS 11.190(4)(e) sets forth a two-year limitation on an action “to recover damages for injuries to a person or for the death of a person caused by the wrongful act or neglect of another.”
NRCP 6(a) provides, in part, as follows:
In computing any period of time prescribed ... by any applicable statute, the day of the act, event, or default from which the designated period of time begins to run shall not be included. The last day of the period so computed shall be included, . . .
Respondent relies on NRS 11.200, and argues that the date of death should be included in the limitations period. That statute provides:
The time in NRS 11.190 shall be deemed to date from the last transaction or the last item charged or last credit given; and whenever any payment on principal or interest has been or shall be made upon an existing contract, whether it be a bill of exchange, promissory note or other evidence of indebtedness if such payment be made after the same shall have become due, the limitation shall commence from the time the last payment was made.
Respondent argues that in Romaine the statute “may simply have been overlooked.” However, the statute appears applicable only to cases involving transactions lasting more than one day. Furthermore, even if we assume that NRS 11.200 applies to personal injury and wrongful death actions, the statute merely establishes the date of the act or event forming the basis of the complaint. The statute does not establish the beginning and ending dates of the limitations period. Rather, as mentioned above, NRCP 6(a) performs that function.