In re Heurung

8 Citing cases

  1. In re Alam

    No. A23-1077 (Minn. Ct. App. Dec. 26, 2023)

    This court has previously held that, as used in section 253B.02, subdivision 2, self-management refers to "one's handling of the ordinary occurrences of daily life." In re Heurung, 446 N.W.2d 694, 696 (Minn.App. 1989). "One who 'self-manages,' performs the ordinary activities of daily life, copes with the ordinary stresses of daily life, and independently cares for oneself in the ordinary course of daily life."

  2. In re Mattinas

    No. A24-0586 (Minn. Ct. App. Sep. 3, 2024)

    Selfmanagement refers to "one's handling of the ordinary occurrences of daily life." In re Heurung, 446 N.W.2d 694, 696 (Minn.App. 1989). "One who 'self-manages,' performs the ordinary activities of daily life, copes with the ordinary stresses of daily life, and independently cares for oneself in the ordinary course of daily life." Id.

  3. In Matter of Civil Commitment of Salzl

    No. A04-428 (Minn. Ct. App. Aug. 31, 2004)

    Though self-management is not statutorily defined, this court has held that a finding that an individual "cannot adequately function" is sufficient evidence that he is incapable of managing himself. In re Heurung, 446 N.W.2d 694, 696 (Minn.App. 1989). Inability to "adequately function," in turn, has been found where an individual cannot control his substance abuse, control his behavior, or care for himself.

  4. In re Civil Commitment of Lee

    No. C0-02-1089 (Minn. Ct. App. Dec. 31, 2002)

    "Self-management," within the meaning of Minn. Stat. § 253B.02, subd. 2, refers to the handling of ordinary events that arise in daily living. In re Heurung, 446 N.W.2d 694, 696 (Minn.App. 1989). One who "self-manages" performs ordinary activities, copes with ordinary stresses, and independently cares for oneself in the ordinary course of daily life.

  5. In re Rounsaville

    No. CX-01-117 (Minn. Ct. App. Jun. 26, 2001)

    Self-management "refers to one's handling of the ordinary occurrences of daily life." In re Heurung, 446 N.W.2d 694, 696 (Minn.App. 1989). One who can self-manage performs the ordinary activities of daily life, copes with ordinary stresses, and independently cares for oneself.

  6. In Matter of Bell

    No. C5-99-1643 (Minn. Ct. App. Mar. 14, 2000)

    Self-management "refers to one's handling of the ordinary occurrences of daily life." In re Heurung, 446 N.W.2d 694, 696 (Minn.App. 1989). One who is capable of self-management performs the ordinary activities of daily life, copes with ordinary stresses, and independently cares for oneself.

  7. IN RE KARR

    No. CX-98-73 (Minn. Ct. App. May. 19, 1998)

    "Self-management," within the meaning of Minn. Stat. § 253B.02, subd. 2, refers to the handling of ordinary events that arise in daily living. In re Heurung, 446 N.W.2d 694, 696 (Minn.App. 1989). One who "self-manages" performs ordinary activities, copes with ordinary stresses, and independently cares for oneself in the ordinary course of daily life.

  8. Matter of May

    477 N.W.2d 913 (Minn. Ct. App. 1991)   Cited 12 times
    Finding involuntary commitment least restrictive alternative when all previous attempts at outpatient treatment unsuccessful

    Commitment is intended to rehabilitate and to protect a proposed patient from serious physical harm. See In re Heurung, 446 N.W.2d 694, 696 (Minn.App. 1989). This purpose is wholly frustrated if a chemically dependent person does not receive rehabilitative treatment.