We granted leave to appeal to consider the scope of defendants’ easement “for access to and use of the riparian rights to Pine Lake.”
However, we write briefly to clarify the trial court’s duties on remand.
First, the trial court must determine whether the easement contemplates the construction and maintenance of a dock by defendants. In answering this question, the trial court shall begin by examining the text of the easement. Where the language of a legal instrument is plain and unambiguous, it is to be enforced as written and no further inquiry is permitted. See, e.g.,
Gawrylak v Cowie,
If the easement grants defendants the right to construct or maintain a dock, the trial court must determine whether the particular dock at issue is permissible under the law of easements. Under our well-established easement jurisprudence, the dominant estate may not make improvements to the servient estate if such improvements are unnecessary for the effective use of the easement or they unreasonably burden the servient tenement.
Crew's Die Casting Corp v Davidow,
To the extent consistent with this opinion, the judgment of the Court of Appeals is affirmed. The case is remanded to the trial court for further proceedings.
Notes
We note that the Court of Appeals stated that “in deciding the scope of defendants’ rights under the easement, the trial court must consider the language in the easement itself
and
the circumstances existing at the time of the grant. . . .”
