Reynolds v. Allied Emergency Services, PC
Annotate this CaseAfter hearing all the evidence in a medical-malpractice trial, the jury retired to deliberate. At some point during their deliberations, they requested a copy of the jury instructions, which the bailiff provided. But instead of providing the approved set of instructions, the bailiff mistakenly provided a set that the defendants previously had proffered, which included a peremptory instruction. The jury returned a unanimous defense verdict, and the parties left the courthouse. When the trial judge discovered the instruction mistake, he called the parties back to the courthouse and later ordered a new trial. But the defendants then filed a motion to enforce the high/low settlement agreement that the parties had entered into prior to trial. The trial judge agreed with the defendants that a new trial was not allowed under the agreement and rescinded his previous order granting it. Plaintiff appealed to the Mississippi Supreme Court. The Supreme Court reversed and remanded, finding that the jury verdict lacked validity, and as such, no verdict was "achieved," leaving the condition precedent to the high/low agreement unsatisfied. Furthermore, the Court found the term "appeal rights" in the agreement was not ambiguous, and nothing else in the agreement precluded a new trial. The Court therefore reversed the trial judge’s decision to void his initial order, and remanded the case with instructions to the trial court to reinstate that order, which denied a mistrial but granted a new trial.
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