Damages: What, When & How?

Damages: What, When & How?

DAMAGES: WHAT, WHEN & HOW? Judge Lynn M. Egan Judge Michael R. Panter February 24, 2015 WHERE TO BEGIN? Illinois Pattern Jury Instructions (IPI): General measure of damages: IPI 30.01 30.23 Wrongful death damages: IPI 31.0131.13 Damages to spouses & family members: IPI 32.0132.06

Future damages: IPI 34.0134.05 Punitive damages: IPI 35.0135.02 DAMAGES MUST BE PROVED (What does this mean?) This concept may have different meanings for different elements of damages. As a result, look to the case law in order to understand proper foundation for each element. MEDICAL EXPENSES In order to recover, plaintiff must prove: 1. Bills are paid or plaintiff is liable to pay them;

2. Charges are reasonable; AND 3. Bills were incurred as a result of defendants negligence. NOTE: It is NOT enough to show the bill was paid or that the charges are reasonable. This merely establishes part of the requisite foundation. Plaintiff must also establish #3. (Fraser v. Jackson, 2014 IL App (2d) 130283) Also: Dont forget Arthur v. Catour!! PAIN & SUFFERING When is this element appropriate? 1. When there is evidence of physical injury. Carter v. Azaran, 332 Ill.App.3d 948 (1st Dist., 2002);

AND 2. There is evidence that plaintiff was conscious of his pain & suffering. Holston v. Sisters of the Third Order of St. Francis, 165 Ill.2d 150, 173 (1995). EXAMPLE Improper catheter placement caused fluid accumulation around plaintiffs heart, necessitating emergency surgery. Plaintiff lapsed into unconsciousness prior to initial surgical incision, which was made without anesthetic. Plaintiff never regained consciousness & MD testified that plaintiff would not have felt pain during

surgery. Is an award for pain & suffering proper? A: Yes. Jury could rely on reasonable inference from evidence of plaintiffs rising pulse rate, declining BP & testimony that plaintiff sought reassurance from RN prior to surgery. Holston, supra. WHAT TYPE OF EVIDENCE? Does not need to be medical evidence of consciousness. Holston, supra. Lay testimony describing plaintiffs actions may be enough, particularly if there is evidence about

the injuries. Drews v. Gobel Freight Lines, 144 Ill.2d 84 (1991). Can photos of a crushed car be used to establish conscious pain & suffering? PAIN & SUFFERING (Misc. Points) An award for pain & suffering is not required merely because the jury awarded money for medical expenses. Snover v. McGraw, 172 Ill.2d 438 (1996) (Reversal per se approach has been abandoned.) Per diem arguments that suggest jurors use a formula in order to reach award for pain & suffering are

improper. Caley v. Manicke, 24 Ill.2d 390 (1962). NOTE: There is no prohibition against per diem arguments in relation to medical expenses. Lepore v. CTA, 2011 IL App (1st) 092576-U. PER DIEM QUESTIONS Q: Is it OK to suggest to jury that it award $100/hr. for pain & suffering for first 2 yrs. after accident, $1,000/day for remaining time prior to trial & $100/day for future pain & suffering with understanding that plaintiff has a life expectancy of 24.52 yrs.? A: No. Coley v. Manicke, supra. This type of argument creates an illusion of certainty that discourages

reasonable & practical consideration. Q: Is it OK to tell jurors that when calculating pain & suffering they should remember that plaintiff takes pain medication 3x/day, has a life expectancy of 49 yrs., suggests $1,000/yr. and total award of $49,000? A: Yes. Counsel may properly suggest a lump sum figure& may make reference to life expectancy in conjunction therewith. Watson v. City of Chicago, 124 Ill.App.3d 348. DISABILITY & LOSS OF NORMAL LIFE Disability = the absence of competent physical,

intellectual or moral powers or an incapacity caused by physical defect or infirmity. Loss of Normal Life = change in lifestyle. Per IPI 30.04.02: the temporary or permanent diminished ability to enjoy life. This includes a persons inability to pursue the pleasurable aspects of life. CAUTION: Verdict form may only contain one or the other, not both. Baker v. Hutson, 333 Ill.App.3d 486 (5th Dist., 2002). DISABILITY & LOSS OF NORMAL LIFE Q: Given the fact that loss of normal life

compensates for a change in the plaintiffs lifestyle, is this element appropriate when the injury occurred prenatally or at birth? See, Jones v. Chicago Osteopathic Hospital, 316 Ill.App.3d 1121, 1135 (1st Dist., 2000). A: Yes, because loss of normal life is considered interchangeable with disability, despite different definitions. Burcham v. West Bend Mutual Insurance Company, 2011 IL App (2d) 101035. DISFIGUREMENT Disfigurement = less complete, perfect or beautiful in appearance or character. Kresin v.

Sears, Roebuck & Company, 316 Ill.App.3d 433 (1st Dist., 2000). LOSS OF CONSORTIUM Loss of consortium is a separate & distinct element of damage from loss of society. a. Loss of consortium stems from the marital relationship & belongs exclusively to the injured spouse. Defined as interference with a healthy & happy marriage & injury to sexual relations. b. Terminates upon remarriage of surviving spouse, but cohabitation without marriage

irrelevant. c. NOTE: WC lien does not attach. Not reduced to present cash value. Punitive damages not recoverable. Comparative negligence of surviving spouse no longer a complete bar. CONSORTIUM QUESTIONS Q: Can the post marital discovery of a premarital injury create a cause of action for loss of consortium? A: No. Monroe v. Trinity Hospital-Advocate, 345

Ill.App.3d 896, 899 (1st Dist., 2003). Q: Is separation or infidelity during marriage relevant to a loss of consortium claim? A: Yes, as they may diminish the value of the claim. Countryman v. County of Winnebago, 135 Ill.App.3d 384 (2d Dist., 1985). LOSS OF SOCIETY Loss of society can apply to parents, children & siblings. Defined as the deprivation of the companionship, guidance, comfort, love & affection of the deceased. a. Parents enjoy a presumption of pecuniary injury for

the loss of a childs society. In re Estate of Finley, 151 Ill.2d 95 (1992). This means prima facie case even in the absence of direct evidence of the loss. b. No presumption of injury for siblings loss, but only need some evidence to support. Award not reduced to present cash value. SOCIETY QUESTIONS Q: Can parents recover for loss of society when the injury to their child is catastrophic, but non-fatal? A: No. Vitro v. Mihelcic, 209 Ill.2d 76 (2004). Similarly, a child cannot recover for loss of society when parent sustains a non-fatal injury. Karagiannakos v. Gruber, 274

Ill.App.3d 155 (1st Dist., 1995). Q: Can siblings recover for loss of society when catastrophic brain damage to sibling occurred during birth & sibling immediately transferred to Misericordia? A: Yes. Testimony that family tried to maintain bond with baby, siblings occasionally visited & baby brought home on Thanksgiving & Christmas was sufficient. Jones, supra. SOCIETY QUESTIONS (Contd.) Q: In a wrongful death case, should the verdict form contain separate lines for each of the next of kin?

A: No. Jurors are not allowed to apportion wrongful death damages among survivors. This is a judicial function per the Wrongful Death Act & Cook County Circuit Court Rule 6.5(1)(a). Court determines degrees of dependency. LOST WAGES/EARNING CAPACITY Although expert testimony is not necessary, the following foundational requirements apply: a. Loss of future earnings must be reasonably certain to occur. Ambition for advancement not enough. Carlson v. City Construction Company, 239 Ill.App.3d 211 (1st Dist., 1992). Plaintiff must

establish the ability & opportunity to realize the ambition. b. Must also present some evidence that the injury is permanent & prevented plaintiff from continuing employment. LaFever v. Kemlite, 293 Ill.App.3d 260 (1st Dist., 1997). FUTURE DAMAGES/INCREASED RISK OF HARM Future damages must be reasonably certain to occur. Claims for possible development of cancer or AIDS untenable unless proof of actual exposure to harmful agent. Majca v. Beekil, 183 Ill.2d 407 (1998).

Increased risk of harm governed by Dillon v. Evanston Hospital, 199 Ill.2d 483 (2002). Absolute certainty unnecessary & can be less than 50% certain, but must be proven within a reasonable degree of certainty & must be proximately caused by defendants negligence. Requisite calculation is contained in IPI 30.04.03 & 30.04.04. Must specify if more than 1 type of damage. QUESTIONS Q: May plaintiff recover for increased risk of future harm in birth injury case where expert testifies that child is at greater chance to develop scoliosis or hip dislocation in

the future? A: No. Although increased risk can be less than 50% & there need not be absolute certainty, the increased risk must be specifically quantified. Foley v. Fletcher, 361 Ill.App.3d 39, 51 (1st Dist., 2005). Q: May jury be instructed about increased risk of future surgery where MD testifies it is more likely than not that plaintiff would have wrist fusion surgery? A: No. More likely than not = greater than 50% & IPI 30.04.03 & 30.04.04 only appropriate when future damages LESS than 50% likely to occur. Knollenberg v. Kincade, 2012 IL App (4th) 120125-U.

WRONGFUL DEATH VS. SURVIVAL Wrongful death: covers time after death & compensates next of kin for their loss due to the death. Survival: allows recovery of damages personally sustained by decedent up to the time of death. TOP REMINDERS: Effective May 31, 2007, Wrongful Death Act amended to allow bereavement damages to next of kin. Grief, sorrow & mental suffering now part of IPI 31.01-31.06. Dont forget to apportion settlement proceeds from

co-defendant or risk losing post-verdict setoff. Thornton v. Garcini, 237 Ill.2d 100 (2009). REDUCTION OF DAMAGES Section 2-1205 reduction of awards for medical expenses & lost wages in medical malpractice cases. Section 2-1205.1 reduction of awards for medical expenses (but not lost wages) in all other tort cases. Section 2-1207 reduction of excessive punitive damage awards.

REDUCTION OF DAMAGES Sections 2-1205 & 2-1205.1 represent an exception to the collateral source rule & are intended to eliminate duplicative recoveries. They are subject to the following limitations: 1. Requests must be made within 30 days of judgment or time allowed by trial court. 2. Reductions do not apply to the extent of right of recoupment via subrogation, lien, trust agreement or otherwise. Does not apply to intentional torts.

3. Reductions shall not reduce total judgment by more than 50%. 4. Judgment increased by amount of insurance premiums paid by plaintiff in 2 years prior to injury or death. ADDITIONAL CAVEATS Section 2-1205 precludes reductions for medical expenses directly attributable to defendants

negligence. In other words, cannot reduce expenses for actual services involving negligence, only subsequent services made necessary by the negligence. Section 2-1205.1 does NOT apply unless the medical expenses exceed $25,000. Both sections place the burden on defendant to prove that plaintiffs insurer does NOT have right to recoupment. Also, right does not need to be perfected. General, non-itemized verdict does not prevent application of these statutory sections. DeCastris v. Gutta, 237 Ill.App.3d 168 (2d Dist., 1992). QUOTIENT VERDICTS

They reflect advance agreement among jurors to reach a verdict by adding damages figures suggested by each juror & then reaching final verdict by averaging those figures. THIS IS IMPROPER, but. Juror affidavits cannot be used to prove that the final award was the result of a quotient verdict. Stone v. Mitek Industries, 2014 IL App (3d) 120122-U. BEWARE: Department of Transportation v. J.W. Graham, 130 Ill.App.3d 589 (5th Dist., 1985) is not good law!! ADDITUR & REMITTITUR Courts have a duty to correct erroneous or excessive verdicts & these are both accepted

means of doing so. Best v. Taylor Machine Works, 179 Ill.2d 367, 412 (1997). Additur: Used to correct an omission of an easily calculated element of damage or when the award bears no reasonable relationship to the loss. Usually involves liquidated damages. Defendant must consent. If not, new trial on damages only. Remittitur: Excessive portion of verdict is reduced to amount determined by court to be proper. Appropriate when verdict falls outside range of fair & reasonable compensation, results from passion or prejudice or is so large as to shock the judicial conscience. Plaintiff must


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