Skip to content
SCOTUS NEWS

Court opts for plain meaning in dispute over procedural rules for relief from erroneous judgments

Ronald Mann's Headshot
By
cropped-Banner*-10.4.jpg

The Supreme Court on Monday clarified the meaning of mistake in the federal procedural rule that allows litigants to seek relief from erroneous final judgments. In an 8-1 opinion in Kemp v. United States, the court ruled that all mistakes of law made by a judge constitute mistakes under Federal Rule of Civil Procedure 60(b)(1).  

The case involved the various subsections of Rule 60(b), which establishes different deadlines for motions designed to correct various errors that courts might make. The error in this case was a judges miscalculation of a filing date in Dexter Earl Kemps effort to overturn a drug and firearms conviction. Kemp sought relief from that miscalculation under Rule 60(b), but it was not clear whether his motion should be analyzed under 60(b)(1) or 60(b)(6). Rule 60(b)(1) (which has a one-year deadline a deadline that Kemp missed) applies to any mistake. Rule 60(b)(6) (which has no firm deadline) is available for a catch-all category of any other reason.”

Kemp argued that the history and structure of the provision shows that mistake is a term of art that includes only factual errors made by a party rather than by a judge. In an opinion by Justice Clarence Thomas, the court rejected that reading.

[N]othing in the text, structure, or history of Rule 60(b) persuades us to narrowly interpret the otherwise broad term mistake to exclude judicial errors of law, Thomas wrote.

Justice Neil Gorsuch dissented.

Check back soon for in-depth analysis of the opinion.

Cases: Kemp v. United States

Recommended Citation: Ronald Mann, Court opts for plain meaning in dispute over procedural rules for relief from erroneous judgments, SCOTUSblog (Jun. 13, 2022, 12:00 AM), https://www.scotusblog.com/2022/06/court-opts-for-plain-meaning-in-dispute-over-procedural-rules-for-relief-from-erroneous-judgments/