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Standard Fire Insurance Co. v. Continental Resources, Inc.
2017 SD 41
S.D.
2017
Read the full case

Background

  • Dale Denzin injured his pelvis in 1983 while working for Koch Industries; Standard Fire (insurer for Koch) paid medical and disability benefits and later paid for hip-replacement surgeries in 2009–2010.
  • Continental Resources acquired the oilfield in 1995 and became Denzin’s employer. Denzin obtained a 50% PPD rating for each lower extremity and filed a workers’ compensation petition in May 2012 seeking PPD benefits.
  • Continental Resources filed a third-party claim against Koch/Standard Fire asserting Koch’s liability for impairment benefits. Standard Fire denied liability.
  • In December 2013, Denzin, Continental Resources, and Standard Fire executed a settlement agreement by which Continental agreed to pay a lump sum of $99,200 (PPD) to Denzin and the parties agreed to “settle this matter without further litigation”; the Dept. of Labor approved and dismissed the matters.
  • Standard Fire later sued Continental (2014) for reimbursement or subrogation of $86,952.46 it paid (medical and indemnity) between 2009–2013, claiming the settlement acknowledged Continental’s responsibility for post-1995 work contributions to Denzin’s need for treatment.
  • Continental moved to dismiss under SDCL 15-6-12(b)(5) arguing the settlement/res judicata barred Standard Fire’s claim; the circuit court granted the motion. The Supreme Court reversed and remanded, finding the settlement ambiguous on scope.

Issues

Issue Standard Fire's Argument Continental's Argument Held
Whether the settlement agreement barred Standard Fire’s reimbursement/subrogation claims "This matter" in the agreement is limited to the PPD impairment payment ($99,200); medical/indemnity payments are outside the settlement scope "This matter" is broad and resolves all workers’ compensation benefit matters related to Denzin’s hip surgeries, including medical and indemnity payments Reversed: agreement is ambiguous as to scope; cannot be read unambiguously to bar Standard Fire’s suit
Whether the settlement was a final adjudication invoking res judicata Settlement and Dept. approval do not unambiguously show dismissal with prejudice or release of all future claims by Standard Fire Settlement and dismissal resolved the parties’ dispute and precludes further litigation between them Court declined to apply res judicata because ambiguity in agreement prevented conclusion that it unambiguously precluded the suit
Whether impairment and medical benefits are interchangeable for release purposes Impairment (PPD) and medical benefits are distinct statutory categories; settlement addressing impairment need not cover medicals A broad settlement phrase can be read to encompass both categories Court emphasized statutory distinction between PPD and medical benefits, supporting possibility of a narrow reading
Whether ambiguity exists in the settlement agreement requiring factual development Settlement language "capable of more than one meaning" and lacks typical broad-release language or dismissal with prejudice Agreement language and parties’ inclusion of Standard Fire as a party indicate it resolved all claims Held ambiguous as a matter of law; remanded for further proceedings

Key Cases Cited

  • Total Auctions & Real Estate, LLC v. S.D. Dep’t of Revenue & Regulation, 888 N.W.2d 577 (standard of review for Rule 12(b)(5) dismissal)
  • Dowling Family P’ship v. Midland Farms, 865 N.W.2d 854 (contract ambiguity standard)
  • In re Estate of Neiswender, 660 N.W.2d 249 (settlement agreements construed as contracts)
  • Streeter v. Canton Sch. Dist., 677 N.W.2d 221 (medical benefits governed by SDCL 62-4-1)
  • Cozine v. Midwest Coast Transp., Inc., 454 N.W.2d 548 (PPD benefits governed by SDCL 62-4-6)
  • Roden v. Gen. Cas. Co. of Wis., 671 N.W.2d 622 (ambiguity requires more than competing interpretations)
  • Gores v. Miller, 875 N.W.2d 34 (example of broad release language in settlement)
Read the full case

Case Details

Case Name: Standard Fire Insurance Co. v. Continental Resources, Inc.
Court Name: South Dakota Supreme Court
Date Published: Jun 28, 2017
Citation: 2017 SD 41
Docket Number: 27794
Court Abbreviation: S.D.