Gasperini v. Center for Humanities, Inc.: Difference between revisions
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'''Relevant Facts''' | |||
Journalist lent slides to an organization, and they lost them. Judgment for $450,000 in damages. State law said on appeal the damage calculation should be rejected if unreasonable. Contrary federal rule says you only overturn a jury verdict if it shocks the conscience of the court. | |||
''' | '''Issues''' | ||
Dispute as to the rules applied to calculation of damages. | |||
'''Rules'''Limiting the amount of money a defendant walks out of court with is substantive, but the part about how a court reviews is procedural. | '''Holding/Decision''' | ||
Using the outcome determinative test of “bad” Hanna, the court concludes that this would encourage forum shopping and unfairly administer laws. | |||
'''Rules''' | |||
Limiting the amount of money a defendant walks out of court with is substantive, but the part about how a court reviews is procedural. |
Revision as of 18:36, March 7, 2020
Gasperini v. Center for Humanities, Inc. | |
Court | U.S. Supreme Court |
---|---|
Citation | 518 U.S. 414 (1996) |
Date decided | 1996 |
Relevant Facts
Journalist lent slides to an organization, and they lost them. Judgment for $450,000 in damages. State law said on appeal the damage calculation should be rejected if unreasonable. Contrary federal rule says you only overturn a jury verdict if it shocks the conscience of the court.
Issues
Dispute as to the rules applied to calculation of damages.
Holding/Decision
Using the outcome determinative test of “bad” Hanna, the court concludes that this would encourage forum shopping and unfairly administer laws.
Rules
Limiting the amount of money a defendant walks out of court with is substantive, but the part about how a court reviews is procedural.