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Malen v. MTD Products, Inc.
2010 U.S. App. LEXIS 23806
7th Cir.
2010
Read the full case

Background

  • Malen sustained a severe laceration after stepping off a reconditioned Yard-Man mower with the blade engaged.
  • The mower’s Operator Presence Control (OPC) and No Cut in Reverse (NCR) safety devices were unconnected at the time of the accident.
  • Malen had previously tested the mower and was aware of warning labels advising to stop the blade before leaving the seat.
  • MTD Products manufactured the mower (1998 design) and Home Depot sold a reconditioned unit equipped with safety interlocks that could be bypassed.
  • Plaintiffs allege the mower was negligently manufactured and defectively designed because the OPC/NCR were not fail-safe and the device was not wired properly; defendants moved for summary judgment seeking dismissal based on Malen’s conduct as sole proximate cause.
  • On summary judgment, the district court concluded Malen’s actions were the sole cause, prompting appeal for proper consideration of defect and proximate cause under Illinois law.

Issues

Issue Plaintiff's Argument Defendant's Argument Held
Whether the mower was defective due to an unconnected OPC/NCR. Malen; OPC unconnected made mower unreasonably dangerous. MTD/Home Depot; lack of OPC connection not a defect; danger from blade открыт. A reasonable jury could find defect in construction/design.
Whether the OPC/NCR failure was a proximate cause of the injury. Defect in safety interlock proximate to injury. Injury timing suggests operator actions sole cause. A jury could conclude the defective condition proximate caused the injury.
Whether crashworthiness doctrine applies to riding mowers under Illinois law. Foreseeable accidents require safety measures; crashworthiness applicable. Not clearly applicable to riding mowers; causation disputed. Illinois crashworthiness doctrine potentially governs, allowing a jury question.
Whether reconditioning/remanufacturing status affects liability for a reconditioned mower. Reconditioned sale can be first sale; strict liability applies. As-is/used status limits liability; no clear Illinois standard. Record supports jury determination on remanufacture liability.
Whether Malen’s conduct could bar recovery under comparative fault. Even with negligence, causation still supports recovery. Malen’s actions more than 50% proximate cause. Comparative fault not dispositive; jury could assign partial fault.

Key Cases Cited

  • Hubbard v. McDonough Power Equip., Inc., 83 Ill.App.3d 272 (Ill. App. 1980) (OPC safety relevance in defective riding mowers under Illinois law)
  • Norton v. Snapper Power Equip., Div. of Fuqua Indus., 806 F.2d 1545 (11th Cir. 1987) (OPC safety devices and defect considerations in design)
  • Eyre v. McDonough Power Equip., Inc., 755 F.2d 416 (5th Cir. 1985) (OPC design and negligence considerations in mower injuries)
  • Jablonski v. Ford Motor Co., 398 Ill.App.3d 222 (Ill. App. 2010) (Negligence/design defect standards in Illinois product liability)
  • Buehler v. Whalen, 70 Ill.2d 51 (Ill. 1977) (Crashworthiness doctrine applicability to product injuries)
Read the full case

Case Details

Case Name: Malen v. MTD Products, Inc.
Court Name: Court of Appeals for the Seventh Circuit
Date Published: Nov 19, 2010
Citation: 2010 U.S. App. LEXIS 23806
Docket Number: 08-3855
Court Abbreviation: 7th Cir.