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Banks v. Kale
3:13-cv-01336
S.D. Ill.
Jul 14, 2014
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Background

  • Banks sues Kale and Preston Humphrey, alleging eight claims arising from Kale's representation in Banks's criminal case and a purported third-party payment on a CJA form.
  • Kale was associated with Humphrey, Siegler & Kale, LLC, the predecessor to Preston Humphrey, at the time Banks was represented.
  • Banks pleaded guilty in US v. Banks and is imprisoned; the court-appointed Kale to represent him.
  • Banks alleges a third-party payment related to Kale's representation based on a CJA 20 form response; the complaint seeks damages for various state-law claims.
  • Preston Humphrey moved to dismiss for lack of direct representation, untimeliness, lack of injury allegations, and seeks attorney’s fees; the court granted dismissal of the complaint as to Humphrey.

Issues

Issue Plaintiff's Argument Defendant's Argument Held
Whether Banks states a plausible claim against Humphrey for breach of fiduciary duty Banks claims Humphrey is liable due to fiduciary duties arising from Kale's representation and third-party payment. No direct fiduciary duty by Humphrey to Banks; the appointment was to Kale, not Humphrey. Dismissed; no damages shown and no plausible fiduciary duty by Humphrey.
Whether Banks states a claim of constructive fraud against Humphrey Banks asserts constructive fraud through Humphrey's involvement with Kale. Banks fails to allege Humphrey knew of fraud or accepted fruits of any fraud. Dismissed; lack of knowledge and receipt of benefits.
Whether Banks states fraudulent misrepresentation or concealment claims against Humphrey Banks alleges false statements or concealment by Humphrey. Failure to plead false statements, intent, reliance, or damages with particularity. Dismissed; heightened pleading and lack of specific allegations.
Whether sanctions or attorney’s fees are warranted against Banks Court declines to award fees but warns of potential sanctions for frivolous filings.

Key Cases Cited

  • Bell Atl. Corp. v. Twombly, 550 U.S. 544 (U.S. 2007) (reiterates plausibility standard under Rule 8(a)(2))
  • Ashcroft v. Iqbal, 556 U.S. 662 (U.S. 2009) (requires facial plausibility, not mere possibility)
  • Concentra Health Servs., 496 F.3d 773 (7th Cir. 2007) (applies heightened pleading standard in fraud cases)
  • Airborne Beepers & Video, Inc. v. AT&T Mobility LLC, 499 F.3d 663 (7th Cir. 2007) (notice pleading requirement maintained; not all details needed)
  • Joyce v. Morgan Stanley & Co., Inc., 538 F.3d 797 (7th Cir. 2008) (definition of constructive fraud elements in Illinois law)
  • Wigod v. Wells Fargo Bank, N.A., 673 F.3d 547 (7th Cir. 2012) (fraud pleading with particularity; who/what/when/where/how)
  • Dloogatch v. Brincat, 920 N.E.2d 1161 (Ill. 2009) (Il. fraud pleading standards for misrepresentation)
  • LaSalle Bank Lake View v. Seguban, 937 F. Supp. 1309 (N.D. Ill. 1996) (elements of breach of fiduciary duty under Illinois law)
  • Alyeska Pipeline Serv. Co. v. Wilderness Soc’y, 421 U.S. 240 (U.S. 1975) (inherent power to sanction for bad faith conduct)
Read the full case

Case Details

Case Name: Banks v. Kale
Court Name: District Court, S.D. Illinois
Date Published: Jul 14, 2014
Docket Number: 3:13-cv-01336
Court Abbreviation: S.D. Ill.