Walker v. Guiffre

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Plaintiff May Walker alleged that Defendant Carmelo Guiffre violated the Consumer Fraud Act (CFA) and the Truth-in-Consumer Contract, Warranty and Notice Act (TCCWNA). After finding that Defendant violated the CFA and TCCWNA, the trial court concluded that Plaintiff was entitled to a fee award. The trial court fixed the lodestar amount and applied a forty-five percent contingency enhancement. The Appellate Division found that the trial court's analysis of the reasonableness of Plaintiff's attorneys' hourly rate, based only on the judge's personal experience, did not satisfy the analysis found in "Rendine v. Pantzer" (141 N.J. 292 (1995)). In this appeal, 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 "Walker v. Guiffre" on Justia Law