Primal Vantage Co., Inc. v. O'Bryan
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The Supreme Court reaffirmed its ultimate holding affirming in part and reversing in part the opinion of the court of appeals affirming the trial court's judgment awarding substantial damages to Plaintiffs in this product liability case, holding that remand was required for a new trial.
The product at issue in this case was a ladder stand manufactured by Defendant that Kevin O'Bryan affixed to a tree and was using it for hunting when the polypropylene straps broke, the stand fell, and Kevin sustained injuries. A jury found Primal Vantage for failure to warn and to instruct of dangers associated with use of the straps. On appeal, the Supreme Court originally reversed in part and remanded the case for a new trial, ruling that the trial court abused its discretion by allowing the jury to hear other-incidents evidence before ruling the evidence inadmissible. The Court then granted rehearing and reaffirmed its ultimate holding, ruling (1) the introduction of the other-incidents evidence was not harmless error; (2) the trial court's jury instructions regarding failure to warn were not erroneous; (3) Plaintiffs were properly excluded from apportionment of fault; and (4) a directed verdict in favor of Primal Vantage on the design defect claims was appropriate.
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