Justia Commercial Law Opinion Summaries
Articles Posted in Supreme Court of Nevada
Golden Gate/S.E.T. Retail of Nevada, LLC v. Modern Welding Co. of California, Inc.
Golden Gate/S.E.T. Retail of Nevada, LLC, purchased an underground storage tank from Modern Welding Company of California, Inc. in 2008, which came with a one-year express warranty. In 2016, Golden Gate discovered a crack in the tank and sought replacement under the warranty, but Modern refused, citing the expired warranty. Golden Gate sued Modern, among others, initially for negligence and breach of express warranty, later amending the complaint to include a breach of implied warranty claim.The Second Judicial District Court in Washoe County granted summary judgment in favor of Modern, finding that both the express and implied warranty claims were time-barred. The court also awarded Modern attorney fees and costs. Golden Gate appealed, arguing that the discovery rule should toll the statute of limitations for the implied warranty claim.The Supreme Court of Nevada reviewed the case and held that discovery tolling does not apply to breach of implied warranty claims under the Nevada Uniform Commercial Code (UCC). The court emphasized that NRS 104.2725(2) specifies that a cause of action for breach of warranty accrues upon delivery of the goods, regardless of the buyer's knowledge of the breach. Therefore, Golden Gate's implied warranty claim, filed in 2019, was time-barred as the statute of limitations expired in 2012.Additionally, the Supreme Court found no abuse of discretion in the district court's award of attorney fees to Modern. The court affirmed the district court's judgment, including the summary judgment and the post-judgment award of attorney fees. View "Golden Gate/S.E.T. Retail of Nevada, LLC v. Modern Welding Co. of California, Inc." on Justia Law
Hi-Tech Aggregate, LLC v. Pavestone, LLC
Hi-Tech Aggregate, LLC supplied Pavestone, LLC with aggregate used to manufacture pavers. After customers complained about efflorescence on the pavers, Pavestone determined that sodium carbonate in Hi-Tech’s aggregate caused the issue. Pavestone sued Hi-Tech for negligence, products liability, breach of contract, and breach of warranty. The district court ruled in favor of Pavestone on the breach of warranty and products liability claims.The Eighth Judicial District Court of Clark County conducted a bench trial and found that Hi-Tech breached the warranty of fitness for a particular purpose and was liable under products liability. Hi-Tech appealed the decision, arguing that it did not know of Pavestone’s specific need for sodium-free aggregate and that the economic loss doctrine barred Pavestone’s tort claims.The Supreme Court of Nevada reviewed the case. It held that Hi-Tech’s sale of aggregate carried an implied warranty of fitness for a particular purpose because Hi-Tech had reason to know Pavestone’s intended use. The court adopted the reasoning of UCC § 2-315, which does not require proof of a seller’s actual knowledge if the seller had reason to know the product’s intended purpose. The court also held that Pavestone was excused from testing the aggregate for sodium carbonate because the defect was latent and not detectable through a simple examination.However, the court reversed the district court’s ruling on the products liability claim, holding that the economic loss doctrine precluded Pavestone’s noncontractual claims. The doctrine applies when the damage is to the product itself and not to other property. Pavestone did not provide sufficient evidence of damage to property other than the pavers. Thus, the Supreme Court of Nevada affirmed the district court’s judgment on the warranty claim but reversed its judgment on the products liability claims. View "Hi-Tech Aggregate, LLC v. Pavestone, LLC" on Justia Law