Bryson v. Diocese of Camden, 909 F. Supp. 2d 364 (D.N . J. 2012)
holding that although the CSAA did not toll the statute of limitations for the plaintiff’s claims of negligence and breach of fiduciary duty, based on New Jersey’s flexible and equitable discovery rule and language in D.M. v. River Dell Reg’l High Sch., the plaintiff should be allowed to make an argument for equitable tolling at a preliminary hearing to prove his claims that he repressed memories of his abuse