Spring Whiting, an individual and personal representative of the estate of Seth Raven Snyder v. Carbon County, Utah; Sheriff Jeff Wood, in his individual and official capacity; Sergeant Jordan Nelson, in his individual and official capacity; Deputy Deon Gravett, in his individual and official capacity; Deputy Bradly Johnson, in his individual and official capacity; Deputy Edwin Gage Malmgren, in his individual and official capacity; Sergeant Lance Scoville, in his individual and official capacity; Deputy Mark Larsen, in his individual and official capacity; Deputy Victor Turner, in his individual and official capacity; Agent Steven Regruto, in his individual capacity

CourtDistrict Court, D. Utah
DecidedJanuary 28, 2026
Docket4:25-cv-00011
StatusUnknown

This text of Spring Whiting, an individual and personal representative of the estate of Seth Raven Snyder v. Carbon County, Utah; Sheriff Jeff Wood, in his individual and official capacity; Sergeant Jordan Nelson, in his individual and official capacity; Deputy Deon Gravett, in his individual and official capacity; Deputy Bradly Johnson, in his individual and official capacity; Deputy Edwin Gage Malmgren, in his individual and official capacity; Sergeant Lance Scoville, in his individual and official capacity; Deputy Mark Larsen, in his individual and official capacity; Deputy Victor Turner, in his individual and official capacity; Agent Steven Regruto, in his individual capacity (Spring Whiting, an individual and personal representative of the estate of Seth Raven Snyder v. Carbon County, Utah; Sheriff Jeff Wood, in his individual and official capacity; Sergeant Jordan Nelson, in his individual and official capacity; Deputy Deon Gravett, in his individual and official capacity; Deputy Bradly Johnson, in his individual and official capacity; Deputy Edwin Gage Malmgren, in his individual and official capacity; Sergeant Lance Scoville, in his individual and official capacity; Deputy Mark Larsen, in his individual and official capacity; Deputy Victor Turner, in his individual and official capacity; Agent Steven Regruto, in his individual capacity) is published on Counsel Stack Legal Research, covering District Court, D. Utah primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Spring Whiting, an individual and personal representative of the estate of Seth Raven Snyder v. Carbon County, Utah; Sheriff Jeff Wood, in his individual and official capacity; Sergeant Jordan Nelson, in his individual and official capacity; Deputy Deon Gravett, in his individual and official capacity; Deputy Bradly Johnson, in his individual and official capacity; Deputy Edwin Gage Malmgren, in his individual and official capacity; Sergeant Lance Scoville, in his individual and official capacity; Deputy Mark Larsen, in his individual and official capacity; Deputy Victor Turner, in his individual and official capacity; Agent Steven Regruto, in his individual capacity, (D. Utah 2026).

Opinion

THE UNITED STATES DISTRICT COURT DISTRICT OF UTAH

SPRING WHITING, an individual and personal representative of the estate of SETH RAVEN SNYDER, MEMORANDUM DECISION AND ORDER GRANTING DEFENDANT Plaintiffs, STEPHEN REGRUTO’S [19] MOTION TO DISMISS v. Case No. 4:25-cv-00011-DN-PK CARBON COUNTY, UTAH; SHERIFF JEFF WOOD, in his individual and official District Judge David Nuffer capacity; SERGEANT JORDAN NELSON, in his individual and official capacity; DEPUTY DEON GRAVETT, in his individual and official capacity; DEPUTY BRADLY JOHNSON, in his individual and official capacity; DEPUTY EDWIN GAGE MALMGREN, in his individual and official capacity; SERGEANT LANCE SCOVILLE, in his individual and official capacity; DEPUTY MARK LARSEN, in his individual and official capacity; DEPUTY VICTOR TURNER, in his individual and official capacity; AGENT STEVEN REGRUTO, in his individual capacity,

Defendants.

This order resolves a motion to dismiss filed by defendant State of Utah Probation Officer Steven Regruto.1 A separate motion to dismiss was filed by all other defendants. 2 A separate order resolves that separate motion.

1 Agent Regruto’s Motion to Dismiss and Memorandum in Support (“Motion”), docket no. 19, filed May 13, 2025. 2 [Carbon County Defendants’] Motion to Dismiss Plaintiff’s Third, Fourth, Seventh, Eighth, and Tenth Through Thirteenth Causes of Action with Prejudice (“Carbon County Motion”), 2, docket no. 15, filed April 21, 2025. Plaintiff Spring Whiting, as the personal representative of her son’s estate, filed this case seeking damages arising out of the death of her son, Seth Raven Snyder, after he passed away while in custody at the Carbon County Jail.3 Ms. Whiting alleges in her Complaint that Mr. Snyder’s death in February 2024 was a direct and proximate result of the various Defendants’

mismanagement, failure to supervise, and neglect of an incarcerated individual’s medical condition.4 The Complaint alleges thirteen “counts” (or more properly “causes of action”) against ten defendants. The causes of action are: Cause of Action Defendants 1 Violation of 42 U.S.C. § 1983 – Eighth and Fourth All individual defendants in Amendments – Deliberate Indifference to Medical needs their individual capacities, & Cruel and Unusual Punishment and Carbon County Defendants in their official capacities 2 Failure to Protect – Eighth and Fourteenth Amendments All individual defendants in their individual capacities and Carbon County Defendants in their official capacities 3 Municipal Liability – (Monell Claim) – Under 42 U.S.C. Carbon County, Utah § 1983 4 Supervisory Liability Under 42 U.S.C. § 1983 Defendant Sheriff Jeff Wood in his individual capacity 5 Violation of the Utah Constitution – Article 1, §§ 7, 9, - All individual defendants in Due Process and Cruel and Unusual Punishment their individual capacities and Carbon County Defendants in their official capacities 6 Unnecessary Rigor Under the Utah Constitution (Article All individual defendants in I, § 9) their individual capacities and Carbon County Defendants in their official capacities 7 Survivorship Claim Under Utah Law All defendants 8 Negligent Infliction of Emotional Distress All defendants 9 Intentional Infliction of Emotional Distress Defendant Agent Steven Regruto in his individual capacity

3 Complaint at 5–15, docket no. 1, filed February, 16, 2025. 4 See id. at 6–15. Cause of Action Defendants 10 Loss of Filial Relationship All defendants 11 Negligence Under Utah Law All individual defendants and Carbon County 12 Gross Negligence Under Utah Law All individual defendants in their individual capacities and Carbon County in its official capacity 13 Wrongful Death Under Utah Law All individual defendants and Carbon County

Of these claims only 1–4 are federal – the others are state law claims. Defendants fall into two major categories: First, the defendants associated with Carbon County (“Carbon County Defendants”) are Carbon County, Utah; Carbon County Sheriff Jeff Wood; Sergeant Jordan Nelson; Deputy Deon Gravett; Deputy Bradly Johnson; Deputy Edwin Gage Malmgren; Sergeant Lance Scoville; Deputy Mark Larsen; and Deputy Victor Turner. [The Carbon County Defendants have filed their own motion to dismiss5 and are not involved in this Motion.]

Second, State of Utah Probation Officer Steven Regruto (“Agent Regruto”) is the only defendant not associated with the Carbon County Defendants. He is also only named as a Defendant in his individual capacity.6

Unique allegations against Regruto are in the ninth cause of action, though he is named in all but the third and fourth causes of action. The Complaint’s first and second claims are the only federal law claims against Regruto. On May 13, 2025, Agent Regruto filed the Motion to dismiss “all claims asserted against him in the Complaint with prejudice”7 under Rule 12(b)(1) and (b)(6) of the Federal Rules of Civil Procedure. Specifically, Agent Regruto seeks dismissal of Ms. Whiting’s • first and second causes because they are barred by qualified immunity;

5 See Carbon County Motion, docket no. 15, filed April 21, 2025. 6 Id. at 1–3, ¶ 8. 7 Agent Regruto’s Motion to Dismiss and Memorandum in Support (“Motion”) at 1, docket no. 19, filed May 13, 2025 (internal citation omitted). • fifth and sixth causes of action because Utah’s cruel and unusual punishment and unnecessary rigor clauses are inapplicable to someone not yet incarcerated or arrested and because Ms. Whiting fails to demonstrate that Agent Regruto flagrantly violated Mr. Snyder’s constitutional rights; and

• seventh through thirteenth tort claims because they are barred by the Utah Governmental Immunity Act (“UGIA”).8 Ms. Whiting has not filed a response to the Motion. Pursuant to DUCivR 7-1(f), a “failure to respond timely to a motion may result in the court granting the motion without further notice.”9 The failure to respond appears to be deliberate. Less than a week after this Motion was filed, on May 19, 2025, Ms. Whiting and the Carbon County Defendants filed a stipulated motion seeking more time to respond to the Carbon County Defendants’ motion to dismiss but not to this Motion.10 In May, 2025, and August 2025, the Carbon County Defendants stipulated to allow Plaintiff additional time to file a motion to amend her complaint.11 No amended

complaint was filed within the timeframe given, and Agent Regruto did not join those stipulations and has not withdrawn this Motion.12 After careful review of the Motion alongside the Complaint, and for the reasons stated herein, the Motion13 is GRANTED. Ms. Whiting’s causes of action against Agent Regruto in the Complaint are all DISMISSED WITH PREJUDICE.

8 Id. at 1–2. 9 DUCivR 7-1(f). 10 Stipulated Motion to Extend Plaintiff’s Deadline to File an Opposition to Defendants’ Motion to Dismiss (“Stipulated Motion”), docket no. 20, filed May 19, 2025. 11 Id.; see also Stipulated Motion for Scheduling Order, docket no. 31, filed August 19, 2025. Regruto did not join these motions. 12 Id. 13Motion, docket no. 19 filed May 13, 2025. Table of Contents 1. BACKGROUND FACTS ................................................................................................... 5 1.1 Events at Four Corners Community Behavioral Health and Castleview Hospital ....... 6 1.2 Transfer from Castleview Hospital to Carbon County Jail ........................................... 6 2. DISCUSSION .....................................................................................................................

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§ 1983
42 U.S.C. § 1983

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Spring Whiting, an individual and personal representative of the estate of Seth Raven Snyder v. Carbon County, Utah; Sheriff Jeff Wood, in his individual and official capacity; Sergeant Jordan Nelson, in his individual and official capacity; Deputy Deon Gravett, in his individual and official capacity; Deputy Bradly Johnson, in his individual and official capacity; Deputy Edwin Gage Malmgren, in his individual and official capacity; Sergeant Lance Scoville, in his individual and official capacity; Deputy Mark Larsen, in his individual and official capacity; Deputy Victor Turner, in his individual and official capacity; Agent Steven Regruto, in his individual capacity, Counsel Stack Legal Research, https://law.counselstack.com/opinion/spring-whiting-an-individual-and-personal-representative-of-the-estate-of-utd-2026.