Supreme Court of Pennsylvania

Kramer, S. v. Nationwide Insurance, Aplt.

April 25, 2024

Summary

Justice Dougherty concurs with the majority that the Parents’ claim is a timeliness issue, not a waiver, and that they must seek nunc pro tunc relief to challenge the Superior Court’s controlled‑substances exclusion. He agrees with the majority’s reliance on Meyer Darragh but limits the broader pronouncements about Lebanon Valley and Basile, holding that those cases do not control the present discretionary‑appeal context.