This summary was computer-generated without any editorial revision. It is not official, has not been checked for accuracy, and is NOT citable.
Facts
- An employee of a roofing subcontractor fell through a skylight opening while working on a new building's roof. The employee sued the general contractor, alleging negligence for not providing a safe workplace. The employee's wife also sought damages for loss of consortium. The general contractor had contracted with another company for safety consultations and with the subcontractor for the roof installation. The accident occurred as the employee was attempting to cover the skylight openings after being advised of the safety hazard.
Procedural History
- District Court of Taos County, Michael E. Vigil, District Judge: Granted summary judgment in favor of the Defendant, dismissing the suit with prejudice.
Parties' Submissions
- Plaintiff-Appellants: Argued that the Defendant, as the general contractor, was negligent in failing to provide a safe workplace by not retaining control over the work premises or the manner in which the subcontractor installed the roof.
- Defendant-Appellee: Moved for summary judgment on the grounds that they did not retain control of the work premises or the manner in which the subcontractor installed the roof, thus should not be held liable for the Plaintiff's injuries.
Legal Issues
- Whether the general contractor owed a duty of care to the subcontractor’s employee to provide a safe workplace.
- Whether the general contractor retained control over the work premises or the manner in which the subcontractor performed its work.
Disposition
- The Court of Appeals of New Mexico reversed the district court's order granting summary judgment in favor of the Defendant.
Reasons
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The Court, per Judge Michael E. Vigil, with Judges Michael D. Bustamante and Cynthia A. Fry concurring, held that summary judgment was improperly granted. The Court reasoned that there were genuine issues of material fact regarding whether the Defendant retained control over the job location or directed the manner in which the subcontractor performed its tasks. The Court found that the general contractor could owe a duty of care to the subcontractor's employees if it retained such control. Given the factual context, including the subcontractor's limited role and the general contractor's potential control over the skylight openings, these issues were deemed appropriate for a jury to decide. The Court emphasized that the extent of the duty owed and the control exercised by the general contractor are fact-based questions not suitable for resolution by summary judgment.
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