Deutsch v. PassonneauDeutsch v. Passonneau
Plaintiff substituted defendant as her attorney in August 1995 in the midst of trial. In July 1996, before the trial court issued its decision (see
We find that defendant’s representation of plaintiff in this matter did not conclude until the August 19, 1997 entry of the judgment, less than three years prior to the commencement of the action, and, accordingly, modify to reinstate the complaint in its entirety. Although the parties had clearly lost trust and confidence in one another by the time of defendant’s July 1996 motion to withdraw, the court compelled them to continue their attorney-client relationship for purposes of “winding up” the matter, and plaintiff could not be reasonably expected to sue defendant for malpractice until such winding up had occurred (see Glamm v Allen,
Plaintiff’s claims for breach of fiduciary duty seek only money damages, and, accordingly, are governed by the three-year statute of limitations (see Yatter v William Morris Agency,