Village of Memphis v. Frahm

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The owners (Owners) of certain property in the Village of Memphis filed with the county judge an inverse condemnation petition against the Village and sought compensation for an unlawful taking, alleging that the Village deprived them of their property by maintaining a well, a buried powerline, and water pipes on their property without an easement. An appraiser awarded damages to the Owners. The Village appealed. Thereafter, the parties entered into a settlement agreement as to compensation to be paid to the Owners. The Owners subsequently moved for attorney fees and expenses under Neb. Rev. Stat. 76-720, which mandates that a property owner be allowed attorney fees if a public entity initiates condemnation proceedings without negotiating in good faith with the owner. The district court denied the motion, concluding that the Village did not fail to engage in good faith negotiations with the Owners. The Supreme Court affirmed because the record demonstrated that the Village engaged in good faith negotiations to settle with the Owners after the Village appealed to the district court. View "Village of Memphis v. Frahm" on Justia Law