Robinson v. Gutierrez
Annotate this CaseIn this California appellate case, the key issue was whether non-monetary benefits, specifically room and board, constituted "remuneration" within the meaning of Probate Code section 21362, a provision relating to the presumption of fraud or undue influence for donative transfers to caregivers of dependent adults. The case arose when the defendant, Elvira Gutierrez, who provided care services to the decedent in exchange for room and board, was named as the sole beneficiary in the decedent’s testamentary instruments. The plaintiffs, relatives of the decedent, argued that Gutierrez was a "care custodian" under the Probate Code, and that her receipt of the decedent’s estate should be presumed to be the product of fraud or undue influence. The trial court initially ruled that Gutierrez was not a care custodian because room and board did not constitute remuneration for her services. However, the Court of Appeal reversed this decision, holding that "remuneration" as used in section 21362 does include room and board. The Court found that such an interpretation was consistent with the term's ordinary usage, the legislative intent to protect vulnerable adults from financial exploitation, and its interpretation in other legal contexts. The Court therefore concluded that Gutierrez was a care custodian under the statute, and the decedent’s donative gifts to her were subject to the presumption of fraud or undue influence. The case was remanded for further proceedings.
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