Snyder v. CA Ins. Guar. Ass'n
Annotate this CaseTrustees of the Western Asbestos Settlement Trust, charged with paying bodily injury claims against companies that distributed asbestos-containing building materials, sought coverage under the companies’ insurance policies. In 2004, after the insurer was declared insolvent, the trust sought declaratory relief against the California Insurance Guarantee Association (CIGA). CIGA filed an answer denying any obligation to pay claims against the insolvent insurer. The proceedings remained dormant for six years. In 2011, the Western Trust dismissed its complaint without prejudice. The present declaratory relief action by the Western Trust against CIGA was filed in 2013. The trial court dismissed, citing the three-year statute of limitations. Western Trust argued that the limitations period does not begin to run until CIGA denies a specific claim for payment and that no such claim has yet been submitted. The appeals court reversed, holding that a cause of action against CIGA for breach of statutory duties does not accrue until all of the events necessary to create a covered claim have occurred, giving rise to the insured’s right to demand payment from CIGA. The complaint alleged no facts indicating that all those events occurred more than three years before the complaint was filed, if they have occurred.
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