Justia Mississippi Supreme Court Opinion Summaries
Articles Posted in Civil Procedure
Cascio v. Cascio Investments, LLC
Cascio Investments, LLC (Investments), sued Philip Cascio (Cascio) for breach of contract, alleging violations of a noncompetition agreement (NCA). The circuit court found in favor of Investments, and Cascio appealed. Investments cross-appealed, seeking review of a punitive damages award and injunctive relief. The patriarch of the family, Phil Cascio, Sr., founded Cascio’s Storage and Warehouse, Inc. (CSW), during the 1970s, a business that primarily engaged in warehousing and storage of agricultural products in the Mississippi Delta region and beyond. Phil Cascio, Sr. passed the general management of the business to his son, Cascio while his other children, Jackie Pearson, Phyllis Cascio, and Patrick Cascio, pursued other careers. Not until later did Phil Cascio, Sr., divide his interests among his children. This extremely dissatisfied Cascio, Jr., who believed he should receive full ownership of the family businesses on account of the years of work he had poured into them. This chain of events led to a degeneration of the familial bonds between the Cascio siblings, which ultimately resulted in the action on review by the Mississippi Supreme Court. After review, the Supreme Court concluded substantial evidence supported the trial court’s findings, so judgment was affirmed as to all issues except the joinder of Jackie and Phyllis as plaintiffs. As for the cross-appeal, the issue of the constitutionality of the punitive- damages cap was procedurally barred, and the circuit court was affirmed as to the denial of additional injunctive relief. View "Cascio v. Cascio Investments, LLC" on Justia Law
Posted in:
Business Law, Civil Procedure
Roberts v. City of Jackson
At issue before the Mississippi Supreme Court in this case was whether the Civil Service Commission for the City of Jackson (Commission) sufficiently and clearly certified its findings when it affirmed the Jackson Police Department’s termination of Officer Justin Roberts. The Supreme Court found that because the Commission failed to set forth with sufficient clarity and specificity its reasons for affirming Roberts’s termination, the decisions of the Court of Appeals and the Circuit Court were reversed, and the matter remanded to the Commission to comply with the Supreme Court's directive to certify in writing and to set forth with sufficient clarity and specificity its factual findings. View "Roberts v. City of Jackson" on Justia Law
Woodard v. Miller
In the aftermath of her divorce from ex-Methodist minister Andrew Johnson, Kim Miller sued not only Johnson but also his employer, the Mississippi Annual Conference of the United Methodist Church (MUMC). Miller also sued fellow MUMC minister Susan Woodard. Her claims against Johnson were aimed at his risky extramarital sexual behavior, which led to Johnson contracting HIV and later infecting Miller with the virus. Miller based her claims against MUMC and Woodard on her allegation that, had the conference and the fellow minister followed United Methodist policy and procedure, they would have discovered Johnson’s behavior and remedied it or warned Miller before she contracted HIV. The question before the Mississippi Supreme Court on interlocutory appeal was whether she established a wrong for which she could legally recover. After review, the Court found "it is clear that Miller seeks to hold MUMC and Woodard legally accountable for failing to follow religious doctrine and procedure. Under the First Amendment, this Court has no authority to consider and enforce religious standards. Thus, MUMC and Woodard are entitled to summary judgment." The Court found Miller’s claims against her ex-husband, Johnson, were not barred by the First Amendment. Still, Johnson insisted he was entitled to summary judgment based on a mutual release in Miller and Johnson’s divorce settlement. The Court found Johnson did not pursue his affirmative defense based on the release for more than two and a half years. By that time, the trial court deemed this defense waived. And after review, the Court held the trial court did not abuse its discretion by denying Johnson summary judgment on this basis. The trial court's orders denying MUMC’s and Woodard’s motions for summary judgment were reversed; the order denying Johnson’s motion for summary judgment was affirmed and Miller’s claims against Johnson remanded to the trial court for further proceedings. View "Woodard v. Miller" on Justia Law
Osby v. Janes
Plaintiffs sought to overturn a chancellor’s decision confirming a partition sale. They argued they were entitled to a new sale because the COVID-19 pandemic rendered the prior sale unfair. The Mississippi Supreme Court determined Plaintiffs did not claim the chancellor abused his discretion, nor did the Court found an abuse of discretion. Accordingly, the decision was affirmed. View "Osby v. Janes" on Justia Law
Posted in:
Civil Procedure, Real Estate & Property Law
Rankin v. Rankin
Kemily and Kelvin Rankin were married in July 2007 and had two children during the course of their marriage. In December 2017, Kemily filed a complaint for divorce on the ground of habitual cruel and inhuman treatment or, in the alternative, irreconcilable differences. At the conclusion of Kemily’s case-in-chief, Kelvin moved to dismiss the complaint for divorce and argued that the evidence “wholly, completely, [and] totally fail[ed] to make out a case for habitual cruel and inhuman treatment.” The chancellor entered a fifteen-page memorandum opinion and final judgment that denied Kemily’s complaint for divorce, finding “that the evidence presented [wa]s insufficient to grant [Kemily] a divorce on the ground of habitual cruel and inhuman treatment.” Kemily timely appealed. On appeal, the Court of Appeals found that “there was sufficient evidence to support granting the divorce on the ground of habitual cruel and inhuman treatment” and therefore reversed the chancellor’s judgment and remanded the case “for further findings in accordance with [its] opinion.” Kelvin filed a petition for writ of certiorari and argued that the Court of Appeals’ decision was (1) in direct conflict with well-established law regarding appellate review; and (2) in direct conflict with a prior decision of the Mississippi Supreme Court. The Supreme Court found the appellate court's decision was based on the absence of an express finding by the chancellor regarding Kemily's credibility, thus failing to recognize the required assumption “that the chancellor resolved [the credibility] issue[] in favor of [Kelvin].” The Supreme Court ultimately reversed the decision of the Court of Appeals, and affirmed the chancery court’s denial of the complaint for divorce on the ground of habitual cruel and inhuman treatment. View "Rankin v. Rankin" on Justia Law
Posted in:
Civil Procedure, Family Law
Progressive Gulf Insurance Company v. Kaur, et al.
At issue before the Mississippi Supreme Court in this interlocutory appeal was whether the trial court erred by finding cause to grant a 120-day extension of time to serve process on Progressive Gulf Insurance Company. Plaintiffs, Jaswinder Kaur, Harvinder Singh, Karanveer Kamboj, and Gurdev Kamboj, were occupants of a vehicle that was involved in a collision with a vehicle operated by Mary Orebo and owned by Cassandra Mann. Plaintiffs’ vehicle had uninsured-motorist coverage provided by Progressive Gulf Insurance Company. Each Plaintiff filed a separate suit against all three Defendants on the eve of the expiration of the three-year statute of limitations. Progressive contended that difficulty locating other Defendants, the owner and driver of the vehicle, was not adequate cause. After review, the Supreme Court concluded the circuit court did not abuse its discretion in that decision. However, all parties agreed that the circuit court erred by refusing to dismiss the suits of three of the Plaintiffs who failed to seek extensions of time to serve process on Progressive before the end of the original 120-day period. View "Progressive Gulf Insurance Company v. Kaur, et al." on Justia Law
Methodist Healthcare-Olive Branch Hospital v. McNutt
Bettye McNutt filed a complaint against Dr. Vivian Sze Ting Lo, Methodist-Olive Branch Hospital (Methodist), and others asserting the wrongful death of her son due to medical malpractice. Because Dr. Lo had not been served with a presuit notice of claim, the circuit court dismissed the claims against Dr. Lo and, because the statute of limitations had expired, the dismissal was with prejudice. After Dr. Lo’s dismissal, Methodist filed a motion for partial summary judgment, arguing that McNutt’s vicarious liability claims based on Dr. Lo’s conduct were extinguished when Dr. Lo was dismissed with prejudice. The circuit court denied the motion for partial summary judgment, and Methodist appealed. The Mississippi Supreme Court found the circuit court properly denied partial summary judgment. Although Dr. Lo was dismissed with prejudice, the dismissal was not an adjudication on the merits, and McNutt did not enter into a settlement release and indemnity agreement with Dr. Lo. View "Methodist Healthcare-Olive Branch Hospital v. McNutt" on Justia Law
Petro Harvester Oil & Gas Co., LLC, et al. v. Baucum
The crux of this interlocutory appeal was whether Plaintiffs, complaining of personal injury and property damage as a result of the alleged improper use of an oil-disposal well, had to exhaust their administrative remedies before the Mississippi State Oil and Gas Board (MSOGB) prior to proceeding on their common-law claims in the circuit court. Because the Mississippi Supreme Court determined the MSOGB could provide no adequate remedy for the Baucums’ personal-injury and property-damage claims, the Baucums were not required to exhaust administrative remedies before proceeding in the circuit court. View "Petro Harvester Oil & Gas Co., LLC, et al. v. Baucum" on Justia Law
Andreacchio v. Coleman
Richard and Stacy Andreacchio invoked Mississippi Code Section 23-15-951 (Rev. 2018), not to challenge the determination that the Republican candidate, Kassie Coleman, received more legal votes than her Democrat opponent in the November 2019 election for district attorney of the Tenth Circuit District. The Andreacchios conceded Coleman won her election. However, they contended Coleman was not qualified to run in the first place. The Mississippi Supreme Court concluded the trial court did not err in dismissing the Andreacchios complaint: the mechanism to challenge a candidate who was qualified to run for his or her political party’s nomination was provided in Mississippi Code Section 23-15-961 (Rev. 2018). View "Andreacchio v. Coleman" on Justia Law
Posted in:
Civil Procedure, Election Law
Murray v. James Gray d/b/a Gray Trucking
Stacie Murray was driving home from work in the northbound lane on Highway 35 in Scott County, Mississippi. Kevin Parker, while in the course and scope of his employment with James Gray d/b/a Gray Trucking (Gray), was driving a fully loaded log truck in the southbound lane. The two vehicles collided. Murray sued Parker and Gray alleging she suffered personal injuries and property damage as a result of Parker’s negligence. The issue this case presented for the Mississippi Supreme Court's review centered on whether allowing cross-examination of an expert witness with the accident report and a judicial opinion from another case amounted to reversible error. The Court also considered whether cumulative error required a new trial. James Hannah testified for Murray as an expert in accident reconstruction. Hannah testified that he visited the accident scene about two months after the accident and found a “gouge mark” in the highway that, in his opinion, indicated the area of impact. Hannah admitted that the highway patrolman who investigated the wreck, Trooper Greg Lucas, did not find or photograph a gouge mark. Hannah also admitted that he did not know whether the gouge mark was actually caused by the collision. Gray and Parker filed a pretrial motion to exclude Hannah’s testimony and opinions regarding the alleged gouge mark. They argued that Hannah’s testimony was based on “mere speculation” and was neither relevant nor reliable. But the trial court denied the motion and allowed Hannah to testify about the gouge mark. Over Murray’s objections, defense counsel cross-examined Hannah regarding the Uniform Crash Report (UCR) (i.e., the accident report) that Trooper Lucas prepared after the accident. The jury returned a nine-to-three verdict in favor of Gray and Parker. Murray filed a motion for a new trial, which the trial court denied. The Court of Appeals reversed and remanded the case for a new trial. The Supreme Court found the Court of Appeals properly concluded that “[b]ecause Trooper Lucas was not qualified as an expert in accident reconstruction, his opinions on the paths of the subject vehicles and fault did not satisfy Rule 803(8)’s trustworthiness requirement. Accordingly, the trial court abused its discretion by admitting the UCR’s narrative and diagram.” Further, the Court of Appeal properly concluded the trial court abused its discretion by allowing the cross-examination of Hannah because “it had no relevance to the present case and yet created a risk of unfair prejudice, misleading the jury, and confusing the issues.” The Court found Murray was entitled to a new trial. View "Murray v. James Gray d/b/a Gray Trucking" on Justia Law
Posted in:
Civil Procedure, Personal Injury