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Evidence
3/14/2008 7:10:32 PM EST
Ronald W. Eades
Eades on the Kentucky Supreme Court's Evidentiary Rulings Pertaining to Intentional Trespass in Smith v. Carbide & Chems. Corp., 226 S.W.3d 52 (Ky. 2007)
Posted by Ronald W. Eades
Professor of Law, Louis D. Brandeis School of Law, University of Louisville

In Smith v. Carbide & Chems. Corp., 226 S.W.3d 52 (Ky. 2007), the Kentucky Supreme Court responded to two certified questions from the U.S. Sixth Circuit Court of Appeals on matters of state tort law concerning intentional trespass. The Supreme Court held that proof of actual harm is not required to state a claim for an intentional trespass, and that plaintiffs alleging such a claim can recover damages for diminution in their property values. However, to recover such damages, plaintiffs must also prove that their property has suffered some degree of actual injury.

Ronald W. Eades, Professor of Law at the Louis D. Brandeis School of Law at the University of Louisville, discusses the Smith evidentiary rulings and provides related practice tips in this commentary.

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