Graizzaro v. GraizzaroGraizzaro v. Graizzaro
On October 20, 1992, a single justice of this court, acting on a petition under
After the single justice entered the order that stayed all proceedings in the Probate Court, the wife, by a petition under
1. The wife argues that an order of a single justice staying indefinitely all further proceedings in the trial court should be regarded as one that is presently appealable to a panel. Compare cases involving the doctrine of present execution, such as Vincent v. Plecker,
2. The order staying proceedings in the Probate Court was in error for three reasons. First, in context, it amounted to an order depriving the parties of access to a court unless they should settle an issue in dispute by agreement. A court may appropriately urge settlement on the parties but may not refuse them access to a judicial forum to resolve their justiciable disputes. See Massachusetts Declaration of Rights, art. XI. The same is true of the repeated suggestion of sanctions unless the parties should demonstrate good faith in trying to reach agreement on the partnership valuation. In the final analysis, a party may insist on his right to have the court resolve disputed issues and may not be penalized for doing so. Second, a judge must show restraint in urging settlement on the parties, “scrupulous ... to avoid losing his impartiality.” Furtado v. Furtado,
3. It is unnecessary to review the order by which the single justice denied the motion that he recuse himself for unrelated reasons. As the single justice permitted himself to become involved too deeply in negotiating a settlement, any further single justice matters that may arise in this action will be heard by another single justice in order to give the parties both the assurance and the appearance of a wholly impartial forum.
Order staying proceedings in Probate Court reversed.