Mattox v. Dept. of Corrections

In 2009, Richard Mattox sued the Department of Corrections (DOC) for injuries arising from an assault by another prisoner. Mattox alleged that DOC was negligent in failing to accommodate his requests for transfer to a different housing module prior to the assault and that DOC was negligent in permitting the correctional officer on duty to leave the module during the time the assault occurred. The superior court granted DOC’s motion for partial summary judgment regarding classification and housing assignments and then granted DOC’s motion for summary judgment on all other causes of action. The Alaska Supreme Court remanded because there was a material question of fact regarding the foreseeability of the assault. Mattox moved for a new trial on the grounds that the jury erroneously applied the doctrine of discretionary function immunity in reaching its verdict when that question should have been decided by the court before trial. The court denied that motion and Mattox appealed. The Supreme Court concluded Mattox waived any challenge to the jury’s application of the doctrine, and the superior court committed no reversible error by allowing the jury to apply the doctrine rather than applying the doctrine itself sua sponte. View "Mattox v. Dept. of Corrections" on Justia Law