Supreme Court of New Hampshire

Stone v. City of Claremont

March 20, 2024319 A.3d 1274

Summary

The court affirmed the order requiring disclosure of the requested internal-affairs reports and police-standards correspondence. It held that the settlement agreement's confidentiality provision was expressly subject to disclosure required by law and that its purging provision required removal from the plaintiff's personnel file, not destruction of the records. The court also declined to review statutory exemption arguments because the plaintiff had not properly raised or briefed them and expressly waived them at oral argument.