Humphries v. Powder Mill Shopping Plaza

by
The Supreme Court consolidated this case with "Walker v. Guiffre" because it implicated the state's fee-shifting statutes. The Appellate Division found that the trial court's analysis of the reasonableness of Plaintiff's attorneys' hourly rate in "Walker" did not satisfy the analysis found in "Rendine v. Pantzer" (141 N.J. 292 (1995)). The Supreme Court considered whether the "Rendine" framework had been altered by the United States Supreme Court's decision in "Perdue v. Kenny A." (130 S.Ct. 1662 (2010)). The Court concluded that the mechanism for awarding attorneys' fees (including contingency enhancements) as adopted in "Rendine" remain in full force and effect as the governing principles for awards made pursuant to New Jersey fee-shifting statutes. View "Humphries v. Powder Mill Shopping Plaza" on Justia Law