Clark v. Knesal
Annotate this CaseThe case before the Supreme Court was a fifteen-year old contract dispute regarding the construction of Kevin Clark's house. During the litigation, the contractor and counter-plaintiff William Knesal, died. His defense attorney, provided to him by his insurance company upon commencement of the suit, filed a suggestion of death in the deceased's name. When no substitution motion was filed within the prescribed ninety-day period, Knesal's attorney moved to dismiss. Knesal filed the appropriate motion for substitution well after the mandatory ninety-day period, asserting that Knesal's attorney had no standing to submit a suggestion of death and that, additionally, he never received proper notice of the filing until the motion to dismiss was served. The trial court dismissed the action, and Clark appealed. The issue before the Court centered on determining who may file a suggestion of death with the trial court and what circumstances surrounding a failure to file an appropriate substitution motion within the statutory period constitute "excusable neglect." The Court found that the plain language of Mississippi Rule of Civil Procedure 25 permitted Knesal's attorney to file to suggestion of death without naming Knesal's successors or representatives. Similarly, there was no requirement under the rule that a motion to dismiss be filed at all prior to dismissal, so the fact that a motion to dismiss was filed by Knesal's attorneys did not provide grounds to overturn the trial court's decision. Furthermore, the Court found that the trial court did not abuse its discretion when it did not find Clark's delay in responding to the suggestion of death resulted from excusable neglect. Therefore, the decision of the trial court was affirmed.
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