Hickerson v. Yamaha Motor Corporation, U.S.A., No. 17-1075 (4th Cir. 2018)Annotate this Case
After sustaining serious internal injuries in a personal watercraft (PWC) accident, plaintiff filed suit against the manufacturers of the PWC (Yamaha). On appeal, plaintiff argued that the district court erred in requiring expert testimony on her claims and in failing to conduct an appropriate Daubert analysis before excluding her expert's testimony. The Fourth Circuit held that the district court did not abuse its discretion when it excluded the expert's inadequate warning opinion and the district court properly concluded that the PWC's warnings were adequate as a matter of law. In this case, plaintiff based her claims of strict liability, negligence, and breach of warranties on theories of warning and design defects. The Fourth Circuit affirmed the district court's grant of summary judgment for Yamaha on all claims because the record was devoid of admissible evidence on either theory of defect.