Corey Skelton v. Reliance Standard Life Ins Co, No. 21-2641 (8th Cir. 2022)
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Plaintiff sued Defendant insurance company for mishandling his wife’s enrollment for supplemental life insurance and then declaring
her ineligible for coverage after she died. The district court determined Defendant violated ERISA, finding Defendant breached its fiduciary duty to ensure its system of administration did not allow it to collect premiums until coverage was actually effective. Defendant appealed.
The Eighth Circuit affirmed. Defendant maintained its fiduciary duty despite the fact that the deceased's employer collected premium payments before forwarding them to Defendant. The plan in question gave Defendant discretion to approve benefits, which under ERISA is sufficient to create a fiduciary duty. Defendant violated its fiduciary duty by failing to maintain an effective enrollment system. Under ERISA, a fiduciary must discharge its duties with reasonable care, skill, prudence and diligence. The court held that a reasonably prudent insurer would use a system that avoids the employer and insurer having different lists of eligible, enrolled participants. Defendant's billing system breached the fiduciary duty it owed to the deceased. Thus, the court affirmed the district court's granting of summary judgment to Plaintiff.
Court Description: [Benton, Author, with Gruender and Erickson, Circuit Judges] Civil case - ERISA. The defendant insurer had a fiduciary role in the deceased's attempt to seek supplemental life insurance and its ability to determine her eligibility for supplemental life insurance made it a fiduciary for her application process; the defendant insurer breached its fiduciary duties of prudence and loyalty by failing to maintain an effective enrollment system and by receiving the deceased's premiums without giving her a corresponding benefit of coverage; the district court did not err in granting summary judgment to the plaintiff and in holding the defendant insurer liable for the supplemental life insurance claim.