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Dismissal of Defamation and False Light Claim under Tennessee Public Participation Act partially reversed.

Day on Torts

Defendant filed a petition for dismissal pursuant to the TPPA, and after finding that the TPPA applied, that plaintiff was a limited-purpose public figure in the context of this action, and that plaintiff “had not established a prima facie case for actual malice,” the trial court dismissed the case. The TPPA, Tenn.

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Proper analysis for petition to dismiss under Tennessee Public Participation Act (TPPA).

Day on Torts

Second, if the court determines that the petitioning party has met such requirements of the statute, the court shall dismiss the legal action unless the responding party establishes a prima facie case for each essential element of the claim in the legal action or if the petitioning party establishes a valid defense to the claims in the legal action.”

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Legal Malpractice Claim Filed More than One Year after BPR Complaint was Untimely.

Day on Torts

Defendant filed a motion to dismiss, asserting that the BPR decisions on the matter “were res judicata and Plaintiff had failed to establish a prima facie case of legal malpractice.” Note: Chapter 64, Section 5 of Day on Torts: Leading Cases in Tennessee Tort Law has been updated to include this decision.

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Dismissal Based on Lack of Foreseeability Reversed.

Day on Torts

Rather, when a minimum threshold of foreseeability is established, courts must engage in an analysis of the relevant public policy considerations, to determine whether a duty enforceable in tort must be imposed. …