LaMont's Wild W. Buffalo, LLC v. Terry

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Justia Opinion Summary

In this case, the Supreme Court of the State of Nevada considered a dispute between LaMont’s Wild West Buffalo, LLC and Nathanial Terry. LaMont’s had acted as an order-buyer to procure 517 bison for Terry’s Montana ranch under an oral agreement. After the bison were delivered, Terry ceased communication and did not pay LaMont’s finder’s fee. LaMont’s sued Terry for breach of contract and related claims. In response, Terry filed frivolous counterclaims, which were later dismissed.

After winning the case, LaMont’s sought attorney fees as sanctions under Nevada Rules of Civil Procedure (NRCP) 11 and Nevada Revised Statutes (NRS) 18.010(2)(b) and 7.085. However, the district court denied these motions, finding that LaMont’s had not complied with NRCP 11's safe harbor provision, a procedural requirement for seeking sanctions.

On appeal, the Supreme Court of Nevada affirmed in part and reversed in part the lower court's decision. The Court agreed that LaMont’s had not complied with NRCP 11's procedural requirements, and thus was not entitled to attorney fees under this rule. However, the Court held that these procedural requirements did not apply to NRS 18.010(2)(b) and 7.085. The Court concluded that these statutes provided independent mechanisms for sanctions, and as such, the district court had erred in applying NRCP 11's procedural requirements to them. The case was remanded with instructions for the district court to determine whether LaMont’s was entitled to attorney fees under these statutes.

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