Gasperini v. Center for Humanities
|Gasperini v. Center for Humanities|
|Argued April 16, 1996
Decided June 24, 1996
|Full case name||William Gasperini v. Center for Humanities, Inc.|
|Citations||518 U.S. 415 (more)
116 S. Ct. 2211, 135 L. Ed. 2d 659
|Prior history||Judgment for plaintiff, S.D.N.Y.; vacated and remanded for new trial, 66 F.3d 427 (2nd Cir. 1995)|
|Subsequent history||On remand, judgment for plaintiff (remittitur); affirmed in part, 149 F.3d 137 (2nd Cir. 1998)|
|The federal trial court should apply the state law standard for excessiveness of a jury award. The appeals court should not apply the standard due to the Seventh Amendment.|
|Majority||Ginsburg, joined by O'Connor, Kennedy, Souter, and Breyer|
|Dissent||Scalia, joined by Rehnquist, and Thomas|
|U.S. Const. amend. VII; N.Y. Civ. Prac. Law and Rules (CPLR) §5501(c) (1995).|
Gasperini v. Center for Humanities, 518 U.S. 415 (1996), was a decision by the Supreme Court of the United States, in which the Court further refined the Erie doctrine which regards when and how federal courts were to apply state law in cases brought under diversity jurisdiction. The Court held that the New York State rule applied.
Background of the case
The plaintiff, William Gasperini, was an American journalist and photographer for CBS News and the Christian Science Monitor who, during the course of seven years in Central America, took over 5,000 slide transparencies depicting war, political leaders and everyday life. In 1990, Gasperini supplied 300 of his original transparencies to The Center for Humanities for use in an educational video. The center agreed to return the transparencies, but they were lost. Gasperini commenced suit in the United States District Court for the Southern District of New York, invoking diversity jurisdiction. The trial jury applied New York law and found for Gasperini, awarding him $450,000 in compensatory damages. The defendant moved for a new trial, asserting, among other things, excessiveness of the award. The district court dismissed the motion and the defendant appealed. The Second Circuit vacated and remanded for a new trial, unless the plaintiff accepted a remittitur for $100,000. Gasperini petitioned and the Supreme Court granted certiorari.
The case involved an important issue of what standard of review should be used by a federal court in measuring the excessiveness of a jury verdict. The standard typically applied by federal courts was that a verdict was excessive if it "shocked the conscience of the court." New York had recently enacted legislation changing the standard as a part of a tort reform initiative, codifying in CPLR §5501(c) the standard that an award was excessive if it "deviates materially from what would be reasonable compensation." The question arose as to whether the standard was substantive or procedural, as the Erie Doctrine stipulated that the federal court should apply the substantive law of the state and federal procedural law.
The court's decision
Justice Ginsburg delivered the majority opinion of the Court, which held that the federal district court should apply the New York standard for excessiveness, reasoning that the case did not include a distinct choice between federal and state interests, but rather presented an opportunity to serve both interests. The federal interest lay primarily in discharging the Seventh Amendment, which precludes review of facts tried by a jury. The Second Circuit had reviewed the verdict against the New York excessiveness standard and thus ran afoul of the Seventh Amendment. Accordingly, the Court vacated the judgment of the Second Circuit and ordered the case remanded to the district court for a new trial so that the trial judge could test the jury's verdict against the state standard.