(1) Plaintiff has standing in claims involving the right to know and right to participate even if she cannot allege an injury different from the injury to the public, overruling Fleenor. (2) The common-law doctrine of equitable tolling may be applied to the 30-day statute of limitations for concealed claims involving the right to know and right to participate.
Schoof v. Nesbit, 2014 MT 6,
0 Mont. L. Rev.
Available at: http://scholarship.law.umt.edu/mlr/vol0/iss5/2