Corley v. Wyoming Rents, LLC
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James Corley, as the representative of his deceased son's beneficiaries, filed a wrongful death lawsuit against Wyoming Rents, LLC. His son had died in a work-related accident while operating a manlift rented from Wyoming Rents. Corley's counsel missed several deadlines to file an amended complaint, continued to pursue claims against another party that the district court had dismissed, and attempted to engage in discovery without a properly filed amended complaint. Consequently, the district court granted Wyoming Rents' motion to dismiss the action with prejudice. Corley appealed, arguing that a lesser sanction was more appropriate.
The district court had previously dismissed Wyoming Machinery Company (WMC) from the case due to lack of claims against it and granted Corley leave to file a second amended complaint. However, Corley failed to meet the deadline for filing the revised complaint and included WMC in the complaint's caption despite the court's dismissal. The court granted Corley another chance to file an amended complaint, but he again missed the deadline. Wyoming Rents then filed a motion to dismiss the case based on Corley's failure to file any pleading by the court's deadline.
The Supreme Court of Wyoming found no abuse of discretion in the district court's decision to dismiss the case with prejudice. The court noted that Corley's counsel demonstrated a complete lack of diligence throughout the case, which prejudiced Wyoming Rents by forcing it to incur substantial attorney’s fees and hindered the court's ability to move forward in resolving the case. The court affirmed the district court's decision to dismiss the case with prejudice.
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