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Everything You Need to Know About Settlement Negotiations Kirk Willis, Partner September 13, 2005
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Start With The End in Mind
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Settlement Goes hand in hand with trial Must set the case up for trial Be aggressive about the set-up
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Keys to Successful Settlement Thorough trial preparation Client/Insured Interview Impression to the other side that the case is ready for defense Attention to detail is key to this impression Minimize surprises
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Settlement Know the social value of your case Don’t underestimate the human factor Be honest but stern
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Settlement v. Expenses Key Expenses Uncertainty –Records –Deposition (Attorney, Court Reporter & Videographer) –Experts –Mediation –Trial [Attorney, Court, Expert, Exhibits Guy]
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Settlement Evaluation of settlement possibilities Background of parties Witnesses Circumstances of accident Damages (Do they get worse?)
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Settlement Don’t be afraid to “Throw in your Policy” 1)Bad Facts + 2) Big Damages = Policy Settlement Who goes first?
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Settlement Head injuries [Brain damage] When is the right time to settle? Children unresolved problems [Stuff happens] Elderly [Non-symptomatic arthritis] (No Clear Rule)
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Settlement Tort Reform 2003 Shifting: Purpose –Penalizes those who reject reasonable offers –Rewards those making reasonable offers 1)Litigation Cost 3)Attorney fees 2)Court cost 4)Two expert fees
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House Bill 4 All lawsuits filed on or after January 1, 2004 [Declaratory, Injunctive other Equities] Monetary relief only
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Claims Excluded Class Action Shareholder derivative Action against Government Action under Family Code Workers Comp Justice of the Peace
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Reasonable Settlement Triggered Statute says anyone can claim reasonable settlement Counter Claim Or Cross Action Not triggered until Defendant’s Declaration Under this statute, Plaintiff can be Defendant if:
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Reasonable Settlement Triggered Multiple Defendants? [Good cause can change] –Each Defendant must file separate Declarations –The Declaration must be made no later than 45 days before the case is set for trial
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Reasonable Settlement Triggered Rule does not apply to: 1.“Any offers made during mediation / arbitration” 2.“Any offers not following Rules don’t trigger fee-shift”
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Reasonable Settlement Triggered Requirements Tex. Civ. Prac. & Rem. Code § 42.003; Tex. R. Civ. P. 167.2(b) 1)Writing; 2)Made under Rule 167 and Chapter 42 Texas Practice Code; 3)Identify parties making offer and parties offer made; 4)State terms all monetary claims, attorney fees, cost and interest – may settle; 5)State a deadline – must give at least 14 days 6)Be served on all parties to which offer is made
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Reasonable Settlement Triggered Conditions No Shifting! 1)They may have reasonable conditions 2)Condition Rejected??
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Time Limits To qualify, an offer may not be made 1)Before a defendant’s declaration is filed; Rationale 2)Within 60 days of the appearance in case; 3)Within 14 days of trial; [offer can within 7 days in response to other] Within 14 days of trial; [offer can within 7 days in response to other] A.Can’t join and make immediate offer B.Not on courthouse steps
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Time Limits Successive offers Yes, as long as favorable Withdrawal Yes, in writing Acceptance Yes, in writing [must be filed with request to enforce same to the Court] Rejection Be careful…
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Time Limits Rejection – Offer made. If offeree does nothing, that triggers the shifting of fees.
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Time Limits “Litigation Cost” Triggered when the Judgment is significantly less favorable to Rejecting Party. Plaintiff – His award is less than 80% of the rejected offer Defendant – The Plaintiff’s award is more than 120% of the rejected offer.
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Accident + Injury = Negligence Plaintiff damages$10,000 Fee Shift Plaintiff Offers$20,000 Defendant rejects offer Jury Award$25,000 1)Attorney Fees 2)Cost of Court 3)2 Experts
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Accident + Injury = Negligence Plaintiff damages$10,000 Fee Shift Plaintiff Offers$20,000 Defendant rejects offer Jury Award$15,000 1)Attorney Fees 2)Cost of Court 3)2 Experts
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Accident + Injury = Negligence Questions What constitutes judgment? –Interest –Modification –Take Nothing Judgment
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Litigation Cost Court Cost Fee for two experts –Testifying experts Reasonable attorney fees All fees are limited to the time the offer was rejected to judgment
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Limited Amount 1)Cost cannot exceed a)Non-economic b)Additional damages c)½ of economic damages
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Limited Recovery Defendant can only receive litigation cost as a set off against Plaintiff’s judgment.
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Discovery on Reasonable Fees 1)Yes one may, but one will pay 2)If the court determines Reasonable, then Plaintiff will pay that cost of discovery
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Settlement Consider every element of your case –Pre-impact terror –Instant of crash –Injured without assistance –Period of peril –Mental anguish
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Settlement Other factors –Emergency care –Actual relief –Transport to hospital –Major v. minor injuries –Therapy and treatment
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Everything You Need to Know About Settlement Negotiations Kirk Willis, Partner 469-893-3577 September 13, 2005
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