This is a legal malpractice action in which plaintiff was represented by defendants in a previous lawsuit. Plaintiff, a landlord, was sued by his tenant. He engaged defendants to defend the tenant’s suit and to pursue a counterclaim against the tenant. The counterclaim was compulsory in nature.
Defendants answered the tenant’s lawsuit and they successfully defended it. Defendants did not, however, assert a counterclaim against the tenant. (Instead, defendant filed a claim against the tenant in a separate action. Of course, that claim failed because it should have been raised via counterclaim. OCGA § 9-11-13 (a).)
In this malpractice action, plaintiff contends that as a result of defendants’ negligence he was damaged to the tune of $59,273.68. The trial court took issue with plaintiff’s contention. In the court’s view, *768 plaintiff failed to prove that he suffered damages. It took the position that plaintiff failed to demonstrate the amount of damages he was entitled to recover against the tenant and that, moreover, plaintiff failed to demonstrate that a judgment against the tenant was collectible. Accordingly, the trial court directed a verdict in favor of defendants and plaintiff appeals. Held:
Assuming, arguendo, there was a fatal failure of proof with regard to actual damages, we must nevertheless reverse the judgment of the trial court. Nominal damages are recoverable in a legal malpractice action provided plaintiff carries the burden of proving that he was wronged.
Jankowski v. Taylor, Bishop & Lee,
Judgment reversed.
