L. B. B. v. White
White
Citation
341 Or. App. 449
Court
Court of Appeals of Oregon
Decided
June 25, 2025
Jurisdiction
SA
Importance
45%
Practice Areas
Case Summary
No. 566 June 25, 2025 449 This is a nonprecedential memorandum opinion pursuant to ORAP 10.30 and may not be cited except as provided in ORAP 10.30(1). IN THE COURT OF APPEALS OF THE STATE OF OREGON L. B. B., Petitioner-Respondent, v. DAVID WHITE, Respondent-Appellant. Washington County Circuit Court 23PO09210; A182481 Kelly D. Lemarr, Judge. Submitted May 20, 2025. David White filed the brief pro se. No appearance for respondent. Before Ortega, Presiding Judge, Hellman, Judge, and O’Connor, Judge. ORTEGA, P. J. Appeal dismissed for lack of jurisdiction. 450 L. B. B. v. White ORTEGA, P. J. Respondent appeals an order denying his motion to stay the trial court’s previous order granting an extreme risk protection order under ORS 166.527. The court’s order deny- ing respondent’s motion to stay in the context of this special statutory proceeding was not an appealable order because it did not affect a substantial right within the meaning of ORS 19.205(5). Thus, we do not reach the merits of respondent’s various arguments and dismiss for lack of jurisdiction. Appeal dismissed for lack of jurisdiction.
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Status
Decided
Date Decided
June 25, 2025
Jurisdiction
SA
Court Type
federal
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Case Overview
Case Name: L. B. B. v. White
Citation: 341 Or. App. 449
Court: Court of Appeals of Oregon
Date: June 25, 2025
Jurisdiction: SA
This case involves an appeal by David White regarding an order denying his motion to stay a trial court's previous ruling that granted an extreme risk protection order under ORS 166.527. The appeal was dismissed for lack of jurisdiction, as the court found that the order in question did not affect a substantial right.
Key Legal Issues
- Jurisdiction: Whether the court had jurisdiction to hear the appeal regarding the denial of the motion to stay.
- Extreme Risk Protection Order: The implications of ORS 166.527 and its procedural context.
Court's Decision
The Oregon Court of Appeals dismissed the appeal, stating that the order denying the motion to stay was not an appealable order under the relevant statutes. The court emphasized that the order did not impact a substantial right, thus precluding further examination of the merits of the case.
Legal Reasoning
- The court cited ORS 19.205(5), which outlines the conditions under which an order can be appealed. The ruling clarified that the denial of a motion to stay does not constitute an appealable order as it does not affect a substantial right.
- The court's decision was based on the procedural nature of the extreme risk protection order, which is designed to address immediate safety concerns rather than to resolve broader legal disputes.
Key Holdings
- Dismissal for Lack of Jurisdiction: The court ruled that it lacked jurisdiction to hear the appeal due to the nature of the order being contested.
- Non-Precedential Opinion: The memorandum opinion is nonprecedential, meaning it cannot be cited as legal precedent in future cases.
Precedents and Citations
- ORS 166.527: Governs the issuance of extreme risk protection orders in Oregon.
- ORS 19.205(5): Defines the criteria for appealable orders in the Oregon legal system.
Practical Implications
- This case underscores the importance of understanding the jurisdictional limits of appellate courts, particularly in special statutory proceedings like extreme risk protection orders.
- Legal practitioners should be aware that not all orders, even those denying motions, are appealable, which can significantly affect the strategy in handling cases involving protective orders.
- The ruling serves as a reminder of the procedural nuances involved in cases concerning public safety and individual rights, emphasizing the need for careful navigation of statutory frameworks.
In conclusion, the dismissal of L. B. B. v. White highlights critical jurisdictional issues in the context of extreme risk protection orders, reinforcing the need for legal clarity in such sensitive matters.
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Case Details
Legal case information
Status
Decided
Date Decided
June 25, 2025
Jurisdiction
SA
Court Type
federal
Legal Significance
Case importance metrics
Metadata
Additional information
Quick Actions
Case management tools