Shams v. Hassan

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This case, which turned on the issue of when Plaintiff’s causes of action accrued, must be reversed and remanded for a new trial because genuine factual disputes over the statute of limitations should be resolved by the factfinder.Plaintiff, Defendant’s brother, entrusted Defendant, his sister, with blank checks signed in advance to be used to pay bills of Plaintiff and his adult children while he was out of the country. When he returned, Plaintiff learned that Defendant had written many checks to herself. When Plaintiff asked for all of his money back, Defendant told him it had been spent. Brother sued. At issue was when Plaintiff’s causes of action accrued. If they accrued when Plaintiff learned Defendant had written checks to herself, his claims were time-barred. But if they accrued when Plaintiff was told the money was gone, they were timely. The district court declined to instruct the jury on the statute of limitations, and the jury returned a substantial damage verdict on several of Plaintiff’s legal theories. The court of appeals reversed. The Supreme Court affirmed, holding that the district court erred in not instructing the jury on statute of limitations at all. View "Shams v. Hassan" on Justia Law