Wysocki v. Johnson

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Plaintiffs sued Defendants for fraudulently failing to disclose defects in a home on a sales disclosure form. The trial court awarded compensatory damages but not fees, costs, or exemplary damages under the Crime Victims Relief Act (CVRA). Plaintiffs moved to correct error, asserting that the court was required to award fees and costs because they had established the CVRA predicate crime of deception. The trial court denied the motion. The Supreme Court affirmed, holding that the trial court acted within its discretion in compensating Plaintiffs for their common-law damages but refusing to award attorney fees or exemplary damages under the CVRA, as Plaintiffs’ complaint encompassed multiple alternative theories of liability not limited to the CVRA, and a court need not impose CVRA liability when it believes ordinary tort liability will do. View "Wysocki v. Johnson" on Justia Law