Summary:
The Georgia Supreme Court granted a writ of certiorari to the Court of Appeals in
Greenway v. Northside Hosp., Inc
., 317 Ga.App. 371, 730 S.E.2d 742 (2012), to determine if the Court erred in finding that the deputy involved in that case was entitled to official immunity in connection with the euthanization of two dogs. The plaintiff-dog owner sued a hospital, animal control officers, and sheriffs after he was pressured to sign a release form to euthanize his dogs when he was admitted to the hospital. The Court of Appeals reversed the lower court's ruling of summary judgment for Roper, the hospital, and the animal shelter operator. Specifically, the Court of Appeals found that the doctrine of official immunity insulated Roper from liability from his decision to ask Greenway to sign the form, but not from the actual execution of that decision. In the instant action, the Supreme Court reversed the Court of Appeals' judgment and remanded the case for further proceedings. The court noted that whether Roper's actions were malicious were beyond the scope of this writ of certiorari.
.
The Georgia Supreme Court granted a writ of certiorari to the Court of Appeals in
Greenway v. Northside Hosp., Inc
., 317 Ga.App. 371, 730 S.E.2d 742 (2012), to determine if the Court erred in finding that the deputy involved in that case was entitled to official immunity in connection with the euthanization of two dogs. The plaintiff-dog owner sued a hospital, animal control officers, and sheriffs after he was pressured to sign a release form to euthanize his dogs when he was admitted to the hospital. The Court of Appeals reversed the lower court's ruling of summary judgment for Roper, the hospital, and the animal shelter operator. Specifically, the Court of Appeals found that the doctrine of official immunity insulated Roper from liability from his decision to ask Greenway to sign the form, but not from the actual execution of that decision. In the instant action, the Supreme Court reversed the Court of Appeals' judgment and remanded the case for further proceedings. The court noted that whether Roper's actions were malicious were beyond the scope of this writ of certiorari.
.