Resident had standing to sue under Kentucky’s Open Records Act (KORA), KRS 61.871, 61.872, and the trial court erred when it dismissed the resident’s case for lack of standing; KORA granted the resident standing to sue for damages to which a person requesting public records may be entitled pursuant to that act. Taylor v. Barlow, 378 S.W.3d 322, 2012 Ky. App. LEXIS 170 (Ky. Ct. App. 2012).
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