Balames v. Ginn

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Plaintiff brought this legal malpractice action for himself and three other individuals for whom he served as attorney in fact (collectively, Plaintiff). Plaintiff named as defendants an attorney and the firm at which the attorney practiced at the time the alleged malpractice occurred (collectively, Attorney), claiming that Attorney negligently failed to obtain signatures on a guaranty for a loan that Plaintiff made to a third party and failed to inform Plaintiff of the missing signatures. When the third party defaulted on the loan, Plaintiff could not obtain a judgment against the intended guarantors for the full amount of the third party’s obligation. A jury returned a general verdict for Attorney. The district court granted Plaintiff’s motion for a new trial, concluding that plain error permeating the proceedings. The Supreme Court vacated the district court’s order sustaining Plaintiff’s motion for a new trial and remanded with instructions to reinstate the judgment for Attorney, holding that the district court incorrectly concluded that plain error permeated the trial and thus abused its discretion in sustaining Plaintiff’s motion for a new trial. View "Balames v. Ginn" on Justia Law