Plaintiff Shannon Hawkins brought this action against her adoptive father, defendant James F. Hawkins, seeking compensatory and punitive damages for assault and battery. The uncontradicted evidence at trial tended to show that defendant sexually abused plaintiff from the time she was five and a half years old until she was fourteen years old. Plaintiff brought this action when she was eighteen years old.
At the end of all evidence, the trial court instructed the jury on three issues to be considered by it during its deliberations. These issues were then submitted and answered by the jury:
1. Did James F. Hawkins commit an assault(s) and battery(ies) on Shannon Lee Hawkins?
Answer: Yes
2. If so, what amount, if any, is Shannon Lee Hawkins entitled to recover for:
a. Medical expenses: None
b. Future medical expenses: None
c. Pain and suffering: None
3. In your discretion what amount of punitive damages, if any, should be awarded to Shannon Lee Hawkins?
Answer: $25,000
The trial court did not instruct on plaintiff’s entitlement to nominal damages.
The sole issue presented is whether plaintiff Shannon Lee Hawkins can recover punitive damages from defendant James F. Hawkins where the jury failed to award compensatory damages and was not instructed on nominal damages. Defendant argues that plaintiff should not recover punitive damages under these circumstances. Plaintiff argues that, by establishing to the jury’s satisfaction all of the elements of an action for assault and battery, she is entitled to recover nominal damages, whether submitted or not; therefore, she should be entitled to recover punitive damages as awarded by the jury. For the reasons set out in the Court of Appeals opinion, we agree with plaintiff. Support for this result
*745
can also be found in a recent Florida Supreme Court decision in an opinion by Overton, J., formerly
C.J. Ault v. Lohr,
Confusion as to how the issue before us should be resolved results from language in
Jones v. Gwynne,
The language in
Jones
is an inexact description of the law as found in our prior cases. Both the
Clemmons
and
Parris
decisions cited in
Jones
relied on the seminal case of
Worthy v. Knight,
The Court of Appeals correctly overlooked the
Jones
dicta and instead relied on
Worthy
when it stated that “[o]nce a cause of action is established, plaintiff is entitled to recover, as a matter of law, nominal damages, which in turn support an award of punitive damages.”
Hawkins v. Hawkins,
The decision of the Court of Appeals is
Affirmed.
