Rounds v. Maryland-Nat’l Capital Park & Planning Comm’n

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Petitioners owned properties located along Farm Road and a ten-foot right-of-way (collectively, the Farm Road), which provided the only means of access to Petitioners’ properties. Petitioners filed suit in the circuit court against the Maryland-National Capital Park and Planning Commission (the Commission) and several other defendants, alleging several claims based on the Commission’s refusal to recognize Farm Road and to issue addresses to Petitioners. The circuit court dismissed the action. The Court of Special Appeals upheld the dismissal. The Court of Appeals affirmed in part and reversed and remanded in part, holding that the Court of Special Appeals (1) properly upheld the circuit court’s dismissal of Petitioners’ state constitutional claims for Petitioners’ failure to comply with the notice requirements of the Local Government Tort Claims Act; (2) properly upheld the trial court’s dismissal of Petitioners’ easement claims for failure to join necessary parties, i.e., adjacent property owners; but (3) erred in determining that Petitioners failed to file their slander of title claim within the statute of limitations. View "Rounds v. Maryland-Nat’l Capital Park & Planning Comm’n" on Justia Law