Justia Nevada Supreme Court Opinion Summaries

Articles Posted in Legal Ethics
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In this breach of contract and fraud action, the attorney for Respondents reviewed confidential documents on disk that he received, unsolicited, from an anonymous source. Petitioners filed a motion to disqualify opposing counsel based on counsel's receipt of the confidential documents. The district court denied the motion, concluding that Petitioners failed to show that any of the documents, except a draft affidavit, contained on the disk were privileged. Petitioners then sought extraordinary writ relief to instruct the district court to disqualify the attorney and his firm, or, alternatively, to compel the district court to reconsider the disqualification motion. The Supreme Court denied the relief requested, holding (1) although there is no Nevada Rule of Professional Conduct that specifically governs an attorney's actions under these facts, the attorney in this case fulfilled any ethical duties by giving prompt notification to opposing counsel, soon after his receipt of the disk, through a Nev. R. Civ. P. 16.1 disclosure; and (2) the district court did not abuse its discretion in refusing to disqualify counsel even though one of the documents sent to counsel was privileged. View "Merits Incentives v. Eighth Judicial Dist. Court" on Justia Law

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This matter arose out of a multi-vehicle traffic accident, which led to a dispute over who was at fault for the accident. At trial, Phillip Emerson, the attorney of one of the defendants, made a series of statements to the jury that the Supreme Court later deemed improper and amounted to impermissible jury nullification. On remand, the matter was ultimately dismissed with prejudice. Afterwards, the district court granted the plaintiff's motion for sanctions and imposed sanctions on Emerson, personally. Emerson subsequently filed a petition for writ relief, requesting that the Supreme Court issue a writ directing the district court to vacate its order imposing sanctions. The Court denied writ relief, holding (1) the district court had jurisdiction to impose sanctions because a district court retains jurisdiction after a case is dismissed to consider sanctions for attorney misconduct that occurred prior to the dismissal; and (2) the district court did not abuse its discretion by imposing as a sanction attorney fees and costs incurred in the original trial. View "Emerson v. Eighth Judicial Dist. Court" on Justia Law