Justia Montana Supreme Court Opinion Summaries

Articles Posted in Native American Law
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On December 14, 2012, the district court issued an alternative writ of mandate directing several irrigation districts to comply with Mont. Code Ann. 85-7-1956 and -1957 before executing a water use agreement with the Confederated Salish and Kootenai Tribes of the Flathead Nation and the United States. On February 15, 2013, the district court issued another writ of mandate that rescinded and superseded the alternative writ of mandate. The writ of mandate enjoined the irrigation districts from entering into the proposed agreement. The Supreme Court vacated both the district court's writ of mandate and injunction and the court's alternative writ of mandate, holding that the district court (1) issued an appealable order, making the appeal from the district court's writ of mandate and injunction as well as the issue of whether the statutes apply to the water use agreement properly before the Court; (2) improperly granted the writ of mandate and injunction; and (3) incorrectly compelled the irrigation districts to comply with sections 85-7-1956 and -1957 before they executed the water use agreement. View "W. Mont. Water Users Ass'n, LLC v. Mission Irrigation Dist." on Justia Law

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Mother and Father's parental rights to their children were terminated by the district court. Before the district court's judgment, Mother had moved to transfer to the case to a tribal court as allowed under the Indian Child Welfare Act (ICWA). However, the case was never transferred. The district court maintained jurisdiction and denied Mother's request to continue the termination hearing and appoint counsel for the children. The Supreme Court reversed, holding (1) the district court did not comply with the jurisdictional ICWA transfer requirements where the court misinterpreted the ICWA requirement to require an affirmative acceptance of the transfer by the tribe; and (2) because there was an apparent conflict between the children's wishes and what the guardian ad litem concluded to be in the children's best interests, counsel for children should be appointed on remand. Remanded. View "In re J.W.C." on Justia Law

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Appellants appealed the order of the district court denying their motion to dismiss for lack of subject matter jurisdiction over the estate of their father, the decedent. At issue was whether the district court erred when it assumed subject matter jurisdiction over the probate of the estate when the decedent was an enrolled member of the Blackfeet Tribe and all of his estate property was located within the exterior boundaries of the Blackfeet Reservation at the time of his death. The court overruled State ex rel. Iron Bear v. District Court and held that the Blackfeet Tribal Court had exclusive jurisdiction over the probate of the decedent's estate and assumption of subject matter jurisdiction by the district court was impermissible because Montana and the Blackfeet Tribe had not taken the necessary steps for Montana to assume civil jurisdiction over the Blackfeet Reservation.