Marengo Cave, discovered in the late nineteenth century, became a well-known tourist attraction in southern Indiana. The cave operator and its predecessors maintained the entrance, installed improvements such as walkways and lighting, guided tours, and collected admission for decades. For many years, neither the operator nor adjacent landowners appreciated the precise subsurface extent of the cave network. After a survey and mapping effort, it was determined that some of the guided passageways extended laterally beneath land owned by Ross, whose surface estate lay beyond the cave's entrance tract. Ross asserted ownership of the subsurface estate beneath his parcel and objected to the cave company's continued excursions under his land. The cave company sought to quiet title to those subterranean passages by adverse possession, or alternatively to establish a prescriptive easement to continue touring through the portions of the cave lying under Ross's land. The company emphasized its long, continuous, and exclusive operation of the cave, heavy public patronage, and the conspicuous, well-advertised nature of its business at the entrance. Ross countered that any occupation under his land was entirely concealed, produced no visible surface manifestation on his parcel, and thus could not satisfy the open-and-notorious requirement necessary to divest him of title or impose a prescriptive servitude.
Can a party acquire title by adverse possession or a prescriptive easement in subterranean cave passages located beneath another's land when the use is entirely underground and not visible or apparent on the surface of the true owner's property?
To obtain title by adverse possession under Indiana law, the claimant's possession must be actual, open, visible, notorious, exclusive, continuous, and hostile (under a claim of right) for the statutory period. A prescriptive easement requires similar elements of open, notorious, continuous, and adverse use for the statutory period. The open-and-notorious element is satisfied only when the occupation or use is of such a character as to afford the record owner actual or constructive notice of the adverse claim—i.e., the use must be visible and apparent to a reasonably diligent owner, not concealed or hidden.
No. The cave company could not acquire title by adverse possession or a prescriptive easement in the underground passages beneath Ross's land because its use was hidden and not open and notorious as to Ross's parcel. Title remained with Ross, and the company's claims failed.
The court centered its analysis on the notice function of the open-and-notorious requirement. Adverse possession operates as a statute of limitations on the record owner's right to recover possession; therefore, the adverse possessor's occupation must be sufficiently visible to alert the owner that her rights are being invaded so she may timely act. The company's use of the cave under Ross's surface estate, however, was entirely subterranean and concealed. There were no surface manifestations on Ross's parcel—no entrances, structures, fencing, cultivation, or other improvements—that would signal an adverse claim beneath his land. The notoriety of the cave business at its entrance, advertising to the general public, and the presence of tours were not legally 'notorious' as to Ross's tract because they did not communicate that specific underground portions of the cave lay beneath and were being claimed against him. A landowner cannot be expected to explore subterranean caverns or conduct specialized surveys to discover hidden encroachments; the law requires notice that is reasonably obtainable by observation of the land. For the same reasons, the cave company's argument for a prescriptive easement failed. Prescriptive rights, like adverse possession, demand open and notorious use. A hidden passage traversed entirely underground without visible or notorious indicia on the burdened parcel does not put the servient owner on notice. While the company's use may have been continuous and exclusive for well beyond the statutory period, the failure of the open-and-notorious element is dispositive. Consequently, the company acquired neither title nor a prescriptive right, and Ross retained ownership and control over the subsurface estate under his land.
Marengo Cave is a leading case illustrating that 'notorious' in adverse possession is a legal term of art concerned with notice to the true owner, not public fame or commercial publicity. It teaches that concealed or subterranean uses typically cannot satisfy adverse possession or prescription because they do not alert a reasonably diligent owner to the encroachment. The case is routinely paired with boundary-encroachment decisions to underscore the policy that adverse possession should punish only owners who ignore visible invasions, not those who fail to discover hidden ones. It also highlights that property ownership includes subsurface estates, but acquisition by limitations requires conduct manifest at or upon the land in a way that communicates an adverse claim.
Marengo Cave Co. v. Ross crystallizes the idea that adverse possession and prescriptive rights are grounded in notice. However extensive or famous the claimant's operations may be, they do not satisfy the legal requirement of notoriety unless they put the true owner on fair notice that his land—specifically his parcel—is being claimed. Hidden, subterranean uses fail that test.