Iacurci v. Sax

by
From 1989 to 2006, Larry Sax, a certified public accountant, prepared federal and state income tax returns for Plaintiff on behalf of the accounting firm Cohen Burger, Schwartz & Sax, LLC. In 2009, Plaintiff filed a professional malpractice and negligence action against Sax and the accounting firm (collectively, Defendants). Defendants moved for summary judgment, asserting that Plaintiff’s claims were barred by the applicable three year statute of limitations. The trial court granted the motion, concluding that a genuine issue of material fact did not exist as to whether Defendants’ alleged fraudulent concealment tolled the statute of limitations. The Appellate Court affirmed. Plaintiff appealed, contending that, in connection with a claim of first impression regarding shifting the burden of proving fraudulent concealment in cases involving fiduciaries, the Appellate Court improperly concluded that there was no fiduciary duty under the facts of this case. The Supreme Court affirmed, holding that because Plaintiff failed to establish a fiduciary relationship with Defendants, his theory of fraudulent concealment did not serve to toll the three year statute of limitations for torts. View "Iacurci v. Sax" on Justia Law