Pathfinder Oil & Gas, Inc. v. Great Western Drilling, Ltd.

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The Supreme Court reversed the decision of the court of appeals reversing the judgment of the trial court awarding specific performance to Pathfinder Oil & Gas, Inc., which claimed a twenty-five percent working interest in certain mineral leases under a letter agreement that Great Western Drilling Ltd. claimed was unenforceable, holding that Pathfinder was entitled to specific performance.On the day before trial, the parties stipules that only certain issues would be submitted to the jury and that favorable jury findings would entitle Pathfinder to specific performance instead of money damages. The jury charge included only the specifically enumerated jury issues, and the jury answered those issues in favor of Pathfinder. The trial court awarded specific performance as provided by the parties' agreement. The court of appeals reversed and rendered a take-nothing judgment, holding that specific performance was unavailable without a jury finding that Pathfinder was "ready, willing, and able" to perform its obligations under the contract. The Supreme Court reversed, holding that, through the stipulation, Great Western waived the right to insist on any other fact findings that might otherwise have been required to entitle Pathfinder to specific performance. View "Pathfinder Oil & Gas, Inc. v. Great Western Drilling, Ltd." on Justia Law