The court found that the trial court had improperly certified a class of insurance claimants whose cars the insurer had deemed a total loss because the claimant lacked standing to seek injunctive relief and therefore could not seek injunctive relief on behalf of a class and while she had standing to assert an individual damage claim, she could not assert a damage claim on behalf of a purported class because she could not satisfy the predominance and typicality requirements of class certification.
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