Pavone v. Kirke

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Wild Rose Entertainment and Signature Management Group (SMG) entered into an agreement that delineated the parties' relationship with regard to future state casino projects. After Wild Rose was awarded a gaming license to develop a casino in Emmetsburg, it terminated the agreement. SMG sued Wild Rose for breach of contract, and a jury found Wild Rose breached the agreement. During the Emmetsburg action, Wild Rose was awarded a gaming license to develop a casino in Clinton. SMG then filed a separate action against Wild Rose, alleging that it breached paragraph 5A of the agreement by failing to negotiate in good faith with SMG for the management of the Clinton casino. Paragraph 5A was litigated in the Emmetsburg action. The district court granted summary judgment for Wild Rose, concluding the doctrine of claim preclusion barred SMG's current claim. The court of appeals affirmed after finding Wild Rose repudiated the entire agreement, which required SMG to seek damages for all remaining rights of performance under the contract in the first lawsuit. The Supreme Court affirmed, holding (1) no genuine issue of material fact existed as to whether Wild Rose repudiated the agreement, and (2) the doctrine of claim preclusion barred the action. View "Pavone v. Kirke" on Justia Law