The Rough Notes Company Inc.
  • Home
  • About
  • Publications
  • RN Newsletter
  • Products & Solutions
  • Media Kits
  • Contact Us
  • Shop
    • Catalog
    • Enter Promo Code
    • Pay Your Existing Bill Here
No Result
View All Result
  • Home
  • About
  • Publications
  • RN Newsletter
  • Products & Solutions
  • Media Kits
  • Contact Us
  • Shop
    • Catalog
    • Enter Promo Code
    • Pay Your Existing Bill Here
No Result
View All Result
The Rough Notes Company Inc.
No Result
View All Result
Home Court Decisions

Sewage backup defeats exclusion

February 1, 2022

INSURANCE-RELATED COURT CASES

Digested from case reports published online

COURT DECISIONS

Sewage backup defeats exclusion

A provision found in just about every commercial and personal property insurance policy issued in Ohio that bars coverage for damage caused by “water that backs up or overflows from a sewer” includes damage caused by sewage carried into an insured’s property by a backup or overflow event.

Sewage from the local sewer system backed up into property owned by Globalcor Associates, LLC, that housed the Bank Nightclub, a bar owned by Globalcor that was insured at the time by United Specialty Insurance Company. The bar subsequently hired AKC, Inc., doing business as Cleantech, to clean up the site and submitted a claim to its insurer.

United Specialty denied the claim because it said the damage was excluded by the policy’s provisions. Globalcor assigned its claim for damages to AKC. In its complaint, AKC alleged that United committed a breach of contract in denying the claim.

The trial court ruled in favor of United Specialty, and AKC appealed. The appellate court reversed the trial court, and the Supreme Court of Ohio reversed the appellate court.

On appeal, AKC argued that the trial court erred in granting summary judgment in favor of United Specialty based on the policy’s pollution exclusion, making three separate arguments. First, the Supreme Court of Ohio found that because the trial court did not apply the exclusionary provision related to backup or overflow, the issue was moot.

In its second argument, AKC contended that the trial court erred because it mistakenly assumed that a sanitary sewer line that carries raw sewage is the same as a storm sewer line that carries surface water runoff. The finding in question states that the exclusion for “water” backing up or overflowing from a sewer includes “raw sewage” that backs up or overflows from the same sewer line. The supreme court said that AKC failed to show that this finding was based on the assumption that a sanitary sewer line that carries raw sewage is the same as a storm sewer line that carries surface water runoff, and it declined to reach such a conclusion.

AKC’s third argument challenged the trial court’s finding that the exclusion for water that backs up or overflows from a sewer includes raw sewage that also backs up. AKC contended this was not the only interpretation that could be fairly placed on the policy language. The court concluded that the provision of the insurance contract was reasonably susceptible of more than one interpretation and therefore should be construed strictly against the insurer and liberally in favor of the insured.

The Supreme Court noted that the insurer could have excluded “sewage” from the policy by the simple addition of the word. The judgment of the trial court was reversed and the case remanded for further proceedings.

AKC, Inc., v. United Specialty Insurance Company—Ohio Supreme Court—October 6, 2021—No. 3540.

Tags: Court Decisionspersonal linessewage backup
Previous Post

No UIM coverage and a missed flight

Next Post

Cyclist or pedestrian?

Next Post

Cyclist or pedestrian?

FEATURES/ COLUMNS/ DEPARTMENTS

  • Agency of the Month (99)
  • Agency Partners (38)
  • Alternative Risk Transfer (28)
  • Benefits & Financial Services (159)
  • Benefits Lead (104)
  • Commercial Lines (122)
  • Court Decisions (335)
  • Coverage Concerns (175)
  • Excess and Specialty Lines (102)
  • From The Latest Issue (561)
  • General Articles (265)
  • Management (789)
  • Marketing (2)
  • Organizational Profiles (82)
  • Personal Lines (100)
  • Producers Blog (53)
  • RN Blog Top Q&A For Agents (84)
  • Specialty Lines (257)
  • Technology (175)
  • Trending Blogs (157)
  • Young Professionals (105)
  • Home
  • About
  • Publications
  • RN Newsletter
  • Products & Solutions
  • Media Kits
  • Contact Us
  • Shop

By continuing to browse the site, you agree to the data collection and processing practices disclosed in our recently updated privacy policy.

©The Rough Notes Company. No part of this publication may be reproduced, translated, stored in a database or retrieval system, or transmitted in any form by electronic, mechanical, photocopying, recording, or by other means, except as expressly permitted by the publisher. For permission contact Samuel W. Berman.

Sitemap

No Result
View All Result
  • Home
  • About
  • Publications
  • RN Newsletter
  • Products & Solutions
  • Media Kits
  • Contact Us
  • Shop
    • Catalog
    • Enter Promo Code
    • Pay Your Existing Bill Here

By continuing to browse the site, you agree to the data collection and processing practices disclosed in our recently updated privacy policy.

©The Rough Notes Company. No part of this publication may be reproduced, translated, stored in a database or retrieval system, or transmitted in any form by electronic, mechanical, photocopying, recording, or by other means, except as expressly permitted by the publisher. For permission contact Samuel W. Berman.

Sitemap