In re Smith v. Jeppsen
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This case arose from the negligence action Plaintiff Donald Smith filed against Defendant Michael Jeppsen after the parties were involved in a car accident. Plaintiff sought to recover, among other things, the cost of past and future medical expenses resulting from the crash. Defendant admitted liability, and the parties agreed that the proper measure of Plaintiff's medical expense damages should be the necessary and reasonable value of the medical services rendered. However the parties disagreed as to whether the trial court, in determining reasonable value, could consider evidence of the amounts billed to and paid by Plaintiff's insurance company (a collateral source). Upon review, the Supreme Court concluded the trial court was correct in applying 10-1-135 C.R.S. (2011) in this case because the statute pertained to cases pending recovery as of August 11, 2010. Furthermore, the Court held that the trial court correctly excluded from evidence the amount of the insurance company's payments because section 10-1-135(10)(a) codifies the common law pre-verdict evidentiary component of the collateral source rule and unambiguously required the exclusion.
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