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Merrilees v. Merrilees
2013 IL App (1st) 121897
Ill. App. Ct.
2013
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Background

  • Marriage dissolution between Merrilees and Robert; Spot Trading, LLC valued in dispute over marital/nonmarital property; MSA awarded plaintiff $18 million plus home; settlement of attorney fees and related releases in June 2009; plaintiff later alleged deception/fraud and sought vacatur via 2-1401 and pursued RICO, fraud, conspiracy, and legal malpractice claims; trial court dismissed with prejudice after four amendments; appellate review conducted de novo.

Issues

Issue Plaintiff's Argument Defendant's Argument Held
Whether RICO claims survive pleading requirements Merrilees alleges a pattern of racketeering and an enterprise Defendants contend no pattern or enterprise; insufficient specificity RICO claims properly dismissed; no pattern or enterprise shown
Whether fraud claims were adequately pled Defendants misrepresented asset value and marital nature of Spot Documents were expressions of opinion; no misstatement of material fact pleaded Fraud counts dismissed for lack of specific misstatements and reasonable reliance
Whether civil conspiracy claim is viable Defendants conspired to undervalue assets and mislead plaintiff No express agreement or overt tortious act pleaded Conspiracy count fails for lack of agreement and actionable conduct
Whether legal malpractice claims were adequately pled Attorneys breached duties by advising, failing to inquire, and self-dealing Plaintiff failed to plead facts showing duty, breach, causation, and damages Legal malpractice counts dismissed for failure to plead essential elements

Key Cases Cited

  • H.J. Inc. v. Northwestern Bell Telephone Co., 492 U.S. 229 (U.S. 1989) (continuity and pattern requirements for RICO)
  • Jennings v. Auto Meter Products, Inc., 495 F.3d 466 (7th Cir. 2007) (RICO pattern limitations to avoid garden-variety fraud)
  • Goren v. New Vision International, Inc., 156 F.3d 721 (7th Cir. 1998) (requirement to plead agreement for RICO conspiracy)
  • Rodgers v. Peoples Gas, Light & Coke Co., 315 Ill. App. 3d 340 (2000) (elements of a RICO claim in Illinois context)
  • Vicom, Inc. v. Harbridge Merchant Services, Inc., 20 F.3d 771 (7th Cir. 1994) (continuity concepts for pattern of racketeering)
  • Lagen v. Balcor Co., 274 Ill. App. 3d 11 (1995) (fraud elements and heightened pleading standard)
  • Chatham Surgicore, Ltd. v. Health Care Service Corp., 356 Ill. App. 3d 795 (2005) (high specificity required for fraud pleadings)
  • Connick v. Suzuki Motor Co., 174 Ill. 2d 482 (1996) (agency and reliance considerations in fraud)
  • Redelmann v. Claire-Sprayway, Inc., 375 Ill. App. 3d 912 (2007) (conspiracy pleading standards)
  • Ignarski v. Norbut, 271 Ill. App. 3d 522 (1995) (proximate cause and meritorious underlying action)
Read the full case

Case Details

Case Name: Merrilees v. Merrilees
Court Name: Appellate Court of Illinois
Date Published: Nov 18, 2013
Citation: 2013 IL App (1st) 121897
Docket Number: 1-12-1897
Court Abbreviation: Ill. App. Ct.