Summary
The United States Court of Appeals for the Eighth Circuit affirmed the denial of judgment as a matter of law and a new trial in a dispute arising from the financing and construction of a proposed osteopathic medical school. Applying Minnesota law, the court held that statements concerning committed financing could support a negligent misrepresentation claim even though they related to a future funding event. The court also rejected challenges based on jury instructions, alleged violations of an in limine order, trial arguments, impeachment, and cumulative error.
Topics
Practice areas
Questions Presented
- Whether Keithahn's statements that the project would be funded and that $7 million would be available after bond closing could support a negligent misrepresentation claim despite relating to a future event.
- Whether Keithahn's alleged honest belief in the truth of his statements defeated the negligent misrepresentation claim.
- Whether the district court erred by refusing to give a separate jury instruction that future assurances cannot constitute misrepresentation.
- Whether alleged violations of the in limine order, statements about MMU's financial condition, and the use of deposition testimony for impeachment warranted a new trial.
- Whether the cumulative effect of the asserted errors warranted a new trial.
Holdings
- A representation concerning a present fact susceptible of knowledge, including the existence of committed financing, remains actionable as negligent misrepresentation even when it is tied to the occurrence of a future event. Keithahn's statements concerned existing committed financing and were not merely conjectural promises conditioned on future discretionary action.
- A defendant's honest belief in the truth of a representation is not a defense to negligent misrepresentation because that claim applies an objective standard of reasonable care or competence rather than a subjective inquiry into intent.
- The district court did not abuse its discretion or otherwise err by refusing a separate instruction stating that future assurances cannot constitute misrepresentation because the Minnesota negligent-misrepresentation instruction fairly and adequately stated all applicable legal elements.
- The district court did not abuse its discretion in denying a new trial because the in limine-order violation, references to MMU's financial condition, use of deposition testimony for impeachment, and any cumulative effect of those matters did not prejudice defendants or affect the verdict.
Key quotations
“Representations of present facts susceptible of knowledge at that time, even when tied to the occurrence of a future event, are actionable under a negligent misrepresentation claim.” (5)
“Because negligent misrepresentation has an objective standard, not a subjective inquiry into intent, a defendant’s honest belief is not a defense to negligent misrepresentation.” (6)
“Most importantly, the district court did not order separate damages for negligent misrepresentation and fraud by omission, instead finding them “duplicative,” because both claims compensated the same injury and did not support additional recovery.” (8)
Factual background
Keithahn formed Minnesota Medical University to establish an osteopathic medical school, and Heritage was hired as general contractor. Keithahn represented to Heritage representatives that the project would be funded and that $7 million would be available for construction after bond closing. The bond proceeds were substantially reduced by issuance costs and Keithahn's draw requests, leaving insufficient funds to pay for continuing construction; after MMU's pre-accreditation application was denied, MMU ultimately informed Heritage that it had no money. Heritage suspended construction and terminated its contract, and the jury found liability on several contract and misrepresentation theories.
Procedural history
Selective Insurance Company of America sued Heritage Construction Companies and related parties for indemnification. The Heritage parties filed a third-party complaint against Keithahn and Minnesota Medical University. The district court denied defendants' motion for summary judgment, and the case proceeded to trial. The jury found defendants liable on all submitted claims except fraudulent misrepresentation; the district court denied post-verdict motions for judgment as a matter of law or a new trial. The Eighth Circuit affirmed.