Schmidt v. Coogan

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In December 1995, Teresa Schmidt slipped and fell while visiting a Tacoma grocery store. She retained Timothy Coogan to represent her in a claim against the store. Just days before the statute of limitations ran, Coogan filed a complaint naming the wrong defendant. He subsequently filed two amended complaints, but the trial court dismissed the case as barred by the statute of limitations. Schmidt filed a complaint against Coogan, asserting claims for negligence and breach of contract. The case went to trial in November 2003, and the jury returned a verdict in favor of Schmidt and granted recovery for past economic and noneconomic damages. The trial court granted a new trial on the issue of damages only, finding that Coogan was denied a fair trial: Schmidt's counsel gave an improper closing argument, and the damages were so excessive as to unmistakably indicate that the verdict was the result of passion and prejudice. The Court of Appeals affirmed the trial court's order granting a new trial. In 2010, Schmidt moved for leave to amend the complaint to add a claim for outrage/reckless infliction of emotional distress, alleging that Coogan harassed, intimidated, and belittled her when she raised the problem of the statute of limitations before it expired. In the 2003 trial, the jury was instructed to determine general damages arising out of Coogan's conduct and malpractice. In the second trial, however, Coogan challenged the availability of general damages in legal malpractice cases. Because her counsel could not find settled authority either affirming or denying the availability of emotional distress damages in Washington, Schmidt sought to add a claim that encompassed the damages. The trial court denied Schmidt's motion to amend. Schmidt also filed a motion for summary judgment on the availability of general damages and a motion in limine. The court denied both motions. After Schmidt rested her case in the damages-only trial, Coogan moved for judgment as a matter of law, arguing that collectibility was an essential element of legal malpractice and that Schmidt presented no evidence that a judgment against Grocery Outlet would have been collectible. The court denied the motion, and the jury again returned a verdict in favor of Schmidt. Coogan appealed the jury verdict, and Schmidt cross appealed on the ground that general damages are available in attorney malpractice claims and that the trial court erred in denying her motion to amend the complaint. The Court of Appeals concluded that collectibility was an essential component of damages that Schmidt failed to prove, and it reversed the trial court's denial of Coogan's motion. This case presented two issues of first impression for the Supreme Court: (1) whether the elements of legal malpractice include the collectibility of an underlying judgment; and (2) whether emotional distress damages are available in legal malpractice cases. The Supreme Court reversed the Court of Appeals and affirm the trial court's judgment, holding that the uncollectibility of an underlying judgment is an affirmative defense to legal malpractice that defendant-attorneys must plead and prove. Furthermore, the Court held that the trial court properly denied emotional distress damages because Coogan's actions were not particularly egregious, nor was the subject matter personal. View "Schmidt v. Coogan" on Justia Law