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Dillard Construction, Inc. (Dillard) appealed a Chancery Court decision regarding a complex construction dispute with its demolition subcontractor, Havron Contracting Corp. (Havron). The lower court held Dillard liable to Havron for $91,100 under quantum meruit for work performed by Havron's subcontractors, denied Dillard an offset for damaged electrical equipment, and allowed Havron to recover attorney's fees awarded against it to its subcontractor H&S Construction through a 'pass-through' indemnity theory from Dillard. Dillard challenged the quantum meruit award and the denial of the offset, while Havron challenged the denial of indemnification for its own incurred attorney's fees. The Court of Appeals affirmed the quantum meruit award and the denial of the offset, finding the evidence did not preponderate against the trial court's findings. However, the appellate court affirmed the trial court's decision to deny Havron its own attorney's fees, citing Havron's lack of good faith in denying payment to H&S and its violation of the Prompt Pay Act.
Dillard Construction, Inc. v. Haron Contracting Corp. is a workers' compensation case decided in Court of Appeals of Tennessee. This case addresses legal issues related to compensation claims, benefits, and court rulings.
It is commonly referenced in legal research involving workers' compensation laws in Court of Appeals of Tennessee.
Full Decision Text1 Pages
Dillard Construction, Inc. (Dillard) appealed a Chancery Court decision regarding a complex construction dispute with its demolition subcontractor, Havron Contracting Corp. (Havron). The lower court held Dillard liable to Havron for $91,100 under quantum meruit for work performed by Havron's subcontractors, denied Dillard an offset for damaged electrical equipment, and allowed Havron to recover attorney's fees awarded against it to its subcontractor H&S Construction through a 'pass-through' indemnity theory from Dillard. Dillard challenged the quantum meruit award and the denial of the offset, while Havron challenged the denial of indemnification for its own incurred attorney's fees. The Court of Appeals affirmed the quantum meruit award and the denial of the offset, finding the evidence did not preponderate against the trial court's findings. However, the appellate court affirmed the trial court's decision to deny Havron its own attorney's fees, citing Havron's lack of good faith in denying payment to H&S and its violation of the Prompt Pay Act.
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