Justia Alabama Supreme Court Opinion Summaries
Articles Posted in Class Action
American Suzuki Motor Corp. v. Burns
American Suzuki Motor Corporation petitioned the Supreme Court for a writ of mandamus to direct the circuit court to grant its motion to dismiss the claims filed against it by John Burns and Jill S. Hearn. Plaintiffs sued Defendants American Suzuki, several local dealerships and the dealerships' owner, alleging breach of contract based on Suzuki vehicle warranties, diminution in value of their vehicles, fraudulent misrepresentations, and unjust enrichment. Plaintiffs purported to bring the action on behalf of themselves and all members of a class composed of individuals who had purchased Suzuki vehicles from Defendants and had active warranties or service contracts on those vehicles. According to the complaint, new Suzuki vehicles carried a manufacturer's warranty, and that Defendants also sold purchasers of Suzuki vehicles extended warranties and maintenance agreements. In early March 2009, "the defendants closed dealerships … and [that] there are no other Suzuki dealerships closer than Nashville, Tennessee, Murfreesboro, Tennessee, or Birmingham, Alabama, to perform service work on the warranted vehicles." As a result of the dealerships being closed, Plaintiffs alleged they were "constructively barred from obtaining warranty work on their vehicles." The complaint did not allege that Plaintiffs needed or sought service under the warranties on their vehicles or that any of the Defendants refused to honor the warranties on vehicles. American Suzuki filed a motion to dismiss alleging that Plaintiffs' claims should be dismissed for failing to state a claim upon which relief can be granted. Upon review, the Supreme Court reversed the trial court's denial of American Suzuki's motion to dismiss, and remanded the case to the trial court to enter an order granting American Suzuki's motion. View "American Suzuki Motor Corp. v. Burns" on Justia Law
Jerkins v. Lincoln Electric Company
The United States Judicial Panel on Multi-District Litigation consolidated approximately 1800 cases involving claims that sought damages for personal injuries allegedly caused by exposure to welding fumes. Several dozen of these cases are governed by Alabama law, and the MDL court identified three issues of law that may be determinative in those cases. The Supreme Court responded in summary: (1) a plaintiff injured by long-term continuous exposure to a toxic substance is limited to recovering damages attributable to injuries occurring within the period of limitations; (2) a six-year statute of limitations applies to wantonness claims filed before the Court’s holding in "Ex parte Capstone" was released; and (3) a plaintiff injured by long-term continuous exposure to a toxic substance has the burden to establish what damages (if any) are attributable to his injuries occurring within the applicable limitation period. View "Jerkins v. Lincoln Electric Company" on Justia Law