A recent Tennessee
Court of Appeals decision, Hilda Willis
v. McDonalds Restaurants of Tennessee, Inc., No. E2015-00615-COA-R3-CV, 2015 WL
9426271 (Tenn. Ct. App. 2015), involved a slip and fall at a McDonald’s
in Tennessee and it provided an interesting issue. In this case the plaintiff was maneuvering
around the area where drinks were served at a McDonald’s. As she left that area she saw a french fry on
the bottom corner of the surface next to the service counter. She stepped over the french fry and claimed
that there was a sharp object that she felt through her shoe. She believes this is what caused her to
fall. When she fell she dropped her
drinks therefore there was ice everywhere.
Because of this, there was no ability to actually identify the piece of
ice or other object that allegedly caused her to fall.
The Plaintiff’s cause
of action was dismissed on a motion for summary judgment at the trial court
level. On appeal, the plaintiff argued
that this granting of summary judgment was improper because there were multiple
dangerous conditions in the area including a slippery floor littered with
debris, the French fry, the absence of a mat at the drinks station and slippery
tile flooring. Additionally, plaintiff
claims that she slipped on a hard object which may have been ice but could not
be positively identified because ice was everywhere after the incident. The appellate court, found that “the fatal
flaw in this action is that plaintiffs cannot identify the hard object that
actually caused the fall; therefore they cannot establish that defendant caused
the dangerous condition or that defendant had actual or constructive notice
that the condition existed long enough to be discovered by proper diligence.” Willis at 4.
The Court went on to
note that the defendant may in fact be responsible for numerous dangerous
conditions throughout the restaurant.
However, it is the plaintiff’s responsibility in a premises liability
case to identify and prove the dangerous condition that actually caused the
fall. In this particular case the
plaintiff simply could not identify the actual condition that was responsible
and without additional evidence concerning the identity object the appellate
court affirmed summary judgment.
This case shows how
difficult slip and fall premises liability cases can be in Tennessee. The plaintiff must affirmatively identify the
dangerous condition that caused the fall.
Obviously, this can be done in some circumstances, but in a case like
this where there are many possible causes of the fall, the plaintiff’s failure
to identify the object is fatal to plaintiff’s case.
Follow me on Twitter at @jasonalee for updates from the Tennessee Defense Litigation
blog.
|