Hartness v. Nuckles

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Ashley Hartness entered into an oral agreement with Restoration Plus, which was owned by Rick Nuckles, for the restoration of his 1968 Pontiac Firebird. Dissatisfied with the restoration, Hartness filed suit against Nuckles, alleging breach of express warranty, breach of implied warranty, money had and received (unjust enrichment), conversion, fraud, deceit, and false representation. The circuit court entered judgment for Nuckles, finding that Hartness failed to comply with the notice requirement of the Uniform Commercial Code (UCC), which requires a party bringing suit on a warranty to notify the breaching party before filing suit. The court also rejected the remaining claims. The Supreme Court affirmed, holding (1) if breach of warranty claims exist for a contract that is exclusively for services, the UCC notice requirements apply, and the circuit court did not err in ruling that Hartness’s claims for breach of warranty failed for lack of notice; and (2) the circuit court did not err in ruling that Hartness could not recover for unjust enrichment or conversion. View "Hartness v. Nuckles" on Justia Law