Helm v. 206 Massachusetts Avenue,LLC

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Gail and Scott Helm filed a personal injury action against Gallo Realty, Inc., one of its real estate agents, and 206 Massachusetts Ave, LLC (owner of the property). The Helms rented a beach house at 206 Massachusetts Avenue in Lewes for a week in 2010. As Gail descended the stairs, she fell and sustained injuries. Gail sought to recover damages based on claims of negligence and breach of contract; Scott claimed loss of consortium. The Superior Court granted defendants' motions for summary judgment, dismissing the Helms' claims. The Helms appealed, arguing: (1) the Superior Court erred in granting defendants' motion for summary judgment on the issue of primary risk assumption and comparative negligence as a matter of law; (2) the Superior Court erred in holding that an indemnification clause provision in the lease protected defendants from liability; and (3) the Superior Court erred in granting summary judgment on the contract claims. After review, the Supreme Court concluded the Superior Court applied both the doctrine of primary assumption of risk and the doctrine of comparative negligence incorrectly. The record reflected that the Superior Court never specifically based its decision on the indemnification clause. The Superior Court's initial ruling in favor of defendants was only on the negligence claims. Furthermore, the Supreme Court found that the record reflected that the Superior Court's dismissive rulings on the Helms' contract claim was "cursory and inextricably intertwined" with its erroneous rulings on the negligence claims. As such, the Supreme Court reversed the Superior Court and remanded this case for further proceedings. View "Helm v. 206 Massachusetts Avenue,LLC" on Justia Law