MICHELLE M. HILL, APPELLANT, V. AMMC, INC., DOING BUSINESS AS MORRISSEY MOTOR COMPANY, APPELLEE.
No. S-17-1075
Nebraska Supreme Court
Filed June 29, 2018
300 Neb. 412
___ N.W.2d ___
Motions to Dismiss: Summary Judgment: Pleadings. When matters outside the pleadings are presented to and not excluded by the court, a motion to dismiss is treated as one for summary judgment. - Summary Judgment: Appeal and Error. An appellate court will affirm a lower court‘s grant of summary judgment if the pleadings and admitted evidence show that there is no genuine issue as to any material fact or as to the ultimate inferences that may be drawn from the facts and that the moving party is entitled to judgment as a matter of law.
- Judgments: Claim Preclusion: Issue Preclusion: Appeal and Error. The applicability of claim and issue preclusion is a question of law. On a question of law, an appellate court reaches a conclusion independent of the court below.
- Judgments: Jurisdiction: Claim Preclusion. Under Nebraska law, claim preclusion bars relitigation of any right, fact, or matter directly addressed or necessarily included in a former adjudication if (1) the former judgment was rendered by a court of competent jurisdiction, (2) the former judgment was a final judgment, (3) the former judgment was on the merits, and (4) the same parties or their priviеs were involved in both actions.
- Judgments: Claim Preclusion: States: Courts. A Nebraska state court must apply federal law to determine the preclusive effect of a federal court judgment.
- Judgments: Jurisdiction: Claim Preclusion: States: Courts. For judgments in federal question jurisdiction cases, federal claim preclusion law applies to the analysis, but for judgments in federal diversity jurisdiction cases, federal common lаw applies to the preclusion analysis. Federal common law, in turn, incorporates the rules of preclusion applied by state courts in the state in which the federal diversity court sits.
Claim Preclusion: Final Orders: States: Courts. Under federal law as stated by the U.S. District Court for the District of Nebraska, claim preclusion bars the relitigation of a claim if the prior judgment was а final judgment on the merits rendered by a court of competent jurisdiction and if the same cause of action and the same parties or their privies were involved in both cases.
Appeal from the District Court for Lancaster County: JODI L. NELSON, Judge. Affirmed.
Joy Shiffermiller, of Shiffermiller Law Office, P.C., L.L.O., for appellant.
Robert S. Keith and Philip O. Cusic, of Engles, Ketcham, Olson & Keith, P.C., for appellee.
HEAVICAN, C.J., MILLER-LERMAN, CASSEL, STACY, FUNKE, and PAPIK, JJ., and WELCH, Judge.
STACY, J.
The Lancaster County District Court dismissed an action filed by Michelle M. Hill, finding it was barred by the doctrine of claim preclusion. Hill filed this timely appeal. We affirm.
I. FACTS
1. HILL‘S 2016 COMPLAINT
On July 14, 2016, Hill filed a complaint in the district court for Lancaster County against her former employer, AMMC, Inc., doing business as Morrissey Motor Company. The complaint presentеd two claims: one alleging a violation of title VII of the Civil Rights Act of 1964,1 and the other alleging “wrongful discharge . . . in violation of Nebraska law and public policy.”
According to the factual allegations of Hill‘s complaint, she was hired by AMMC in May 2014. AMMC sold motor vehicles, and Hill alleged that during the course of her employment she was (1) subjected to severe and pervasive sexual
Hill‘s complaint alleged she had filed “charges” with both the Nebraska Equal Opportunity Commission (NEOC) and the federal Equal Employment Opportunity Commission (EEOC). The complaint alleged the EEOC issued a right to sue letter on July 6, 2016, but was silent as to any final action taken by the NEOC.
On August 17, 2016, AMMC removеd Hill‘s action to the U.S. District Court for the District of Nebraska. After the action was removed, AMMC filed a motion to dismiss Hill‘s state law wrongful discharge claim, arguing it was time barred under the statute of limitations in the Nebraska Fair Employment Practice Act (NFEPA).2 Specifically, AMMC argued Hill failed to file her state law claim within 90 days of the NEOC‘s final action in the casе.3 At the hearing on the motion to dismiss, evidence was received without objection, so the federal court treated the motion as one for partial summary judgment.4
Hill resisted the motion, arguing her state law claim was not brought under the NFEPA, but instead was a common-law tort claim subject to a 4-year statute of limitations. In an order entered October 7, 2016, the federal court granted summary judgment in favor of AMMC on Hill‘s state law wrongful discharge claim, specifically finding the claim was governed by the NFEPA and was not a general state law tort claim for wrongful discharge. Hill‘s title VII claim remained pending in the federal court.
2. HILL‘S 2017 COMPLAINT
Approximately 5 months later, on March 1, 2017, Hill filed the instant complaint against AMMC in the district court for Lancaster County. Her complaint alleged only one claim: that AMMC wrongfully discharged Hill “in violation of Nebraska law and public policy.” The factual allegations regarding wrongful discharge were substantially identical to those alleged in her 2016 complaint. However, the 2017 complaint contained additional detail regarding the illegality of the actions AMMC allegedly asked Hill to take regarding customers’ credit scores and vehicle financing. Specifically, Hill‘s 2017 complaint alleged the actions AMMC asked her to take would have amounted to forgery under
AMMC moved to dismiss the 2017 complaint, asserting it failed to state a claim under
A hearing on AMMC‘s motion was held, and evidencе was offered by both parties and received without objection. The court concluded Hill‘s wrongful discharge claim was barred by the doctrine of claim preclusion. It specifically found the federal court‘s dismissal of Hill‘s state law claim was a final judgment on the merits, was rendered by a court of competent jurisdiction, involved the same issues, and involved the same parties. The district court subsequently entered an order dismissing the complaint and taxing costs to Hill.
Hill filed this timely appeal, which we moved to our docket on our own motion.5
II. ASSIGNMENTS OF ERROR
Hill assigns, restated, that the district court erred in (1) finding her state law claim was not governed by the general 4-year tort statute of limitations and (2) finding her state law claim was barred by the doctrine of claim preclusion.
III. STANDARD OF REVIEW
[1,2] AMMC moved to dismiss Hill‘s complaint pursuant to
[3] The applicability of claim and issue preclusion is a question of law.8 On a question of law, an appellate court reaches a conclusion independent of the court below.9
IV. ANALYSIS
1. DISTRICT COURT MADE NO FINDING ON APPLICABLE STATUTE OF LIMITATIONS
In her first assignment of error, Hill argues the district court erred in finding her wrongful discharge claim was governed by the limitations period under the NFEPA rather than the general 4-year tort statute of limitations. This assignment of error lacks merit for two reasons.
Moreover, to the extent Hill argues the district court should have concluded the federal court‘s determination was erroneous, her complaint is of no moment.10 Hill may not overcome the effect of claim preclusion by collaterally attacking the correctness of the federal court‘s judgment.11
2. CLAIM PRECLUSION
[4] In her seсond assignment of error, Hill argues the district court erred in finding her state law claim was barred by the doctrine of claim preclusion. Under Nebraska law, claim preclusion bars relitigation of any right, fact, or matter directly addressed or necessarily included in a former adjudication if (1) the former judgment was rendered by a court of comрetent jurisdiction, (2) the former judgment was a final judgment, (3) the former judgment was on the merits, and (4) the same parties or their privies were involved in both actions.12 This is the test the district court applied to determine whether the federal court‘s dismissal of Hill‘s state law claim had preclusive effect.
[5,6] Previously, this court has held that a Nebraska state court must apply federal law to determine the preclusive effect
Here, the federal court was exercising federal question jurisdiction over Hill‘s title VII claim19 and was exercising supplemental jurisdiction over her state law claim.20 The U.S. Supreme Court has not squarely addressed whether federal preclusion rules or the federal common law (incorporating state preclusion rules) apply in a case such as this.21 But this case does not require us to decide the question, because, as relevant here, the only difference betwеen the two bodies of law is a slight difference in how the elements of claim preclusion are stated. And as explained below, whether we analyze these elements under the federal or state authority, we reach the same conclusion.
In this case, Hill concedes that the wrongful discharge claim prеsented in her 2017 complaint is the same state law claim she presented in her 2016 complaint. And the parties agree the federal court‘s dismissal of Hill‘s state law claim was rendered by a court of competent jurisdiction and involved the same parties as this action. The dispute on appeal centers on just two elements of the claim preclusion analysis: whether the federal court‘s dismissal was on the merits and whether the federal court‘s dismissal was a final judgment. These elements are considerations under both the state and the federal court‘s articulation of the doctrine, and our analysis of these elements leads us to the same conclusion regardless of the applicable law.
(a) Judgment Was on Merits
Hill argues the federal court‘s judgment of dismissal was based on the statute of limitations and therefore was not on the merits. We disagree.
For the sake of completeness, we note that even if the federal court judgment is characterized as one based on the statute of limitations, it was still on the merits. Generally, federal claim preclusion law holds that a judgment dismissing a claim based on a limitations period is on the merits and bars a second action on the same claim if the limitations period examined by the second court would be the same period examined by the first court.24 Federal law further holds the second action is barred even though the plaintiff may seek to advance new arguments for avoiding the limitations period.25
Although Nebraska has never directly addressed whether a judgment based on the statute of limitations is on the merits, we have held that a judgment is on the merits when it involves a determination of the substantive rights at issue in the action.26 Judgments falling within this definition include judgments based on the following: the outcome of a trial, the grant of a motion for a directed verdict, the grаnt of a motion for judgment notwithstanding the verdict, summary judgment, consent judgment, default judgment, and orders to dismiss an
Here, both the federal district court and a Nebraska statе court would apply a 90-day limitations period to a claim subject to the NFEPA. Thus, to the extent the federal judgment was based on the 90-day statute of limitations, it was a judgment on the merits under either federal claim preclusion law or federal common law (incorporating Nebraska law).
(b) Final Judgment
Hill argues the federal court‘s dismissal of her statе law claim was not final for purposes of claim preclusion because it was not a final judgment for purposes of appeal. At the time Hill filed her 2017 complaint in state court, the federal court had dismissed her state law claim for wrongful discharge, but her related title VII claim against AMMC remained pending. The federal court‘s order dismissing the state law claim did not provide that it was immediately appealable,31 and Hill contends she was procedurally unable to appeal the ruling on her state
We decline tо address the merits of this argument because, even if we found it had merit, it would have no effect on the ultimate disposition of this appeal.33 At oral argument, the parties advised the court that after the appeal in this case was filed, the federal court dismissed Hill‘s title VII claim on summary judgment. No party appealed that judgment, and the time for appeal has now run. Consequently, regardless of whether the district court erred in treating the federal court‘s earlier dismissal of the state law claim as final, there is no dispute it is final now for purposes of claim preclusion under both Nebraska law and federal law. The doctrine of claim preclusion bars Hill from asserting her state law claim in another court, and remanding the matter with directions to make a new finality determination would serve no purpose.
V. CONCLUSION
Based on the foregoing, the wrongful discharge claim asserted in Hill‘s 2017 complaint is barred by the doctrine of claim preclusion. We therefore affirm the district court‘s dismissal.
AFFIRMED.
