In the Matter of M.M. — Civil Commitment Void Where Petition’s Signatory Titles Were Internally Contradictory; No Presumptive Weight for Facially Ambiguous Filing
The Massachusetts Appeals Court reversed a District Court civil commitment order after finding that the commitment petition was facially invalid: the same one-page petition identified the signatory, Michael Tarmey, with two contradictory titles—“Medical Director” in the title block and “Vice President, Associate Chief Nursing Officer” in the signature block—while companion documents in the same proceeding identified a different person as “Medical Director.” The court held that the ordinary presumption that a hearing judge may rely on the petition’s face to establish the signatory’s authority under G.L. c. 123, §§ 1 and 7(a) does not apply when the petition itself is internally contradictory; the judge must then resolve the factual question on the evidence, and here the record was insufficient to do so.