T.L. Wallace Construction, Inc. v. McArthur, Thames, Slay, and Dews, PLLC

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In this auditing malpractice case, Thomas L. Wallace and T.L. Wallace Construction, Inc. appealed the Circuit Court's grant of summary judgment to McArthur, Thames, Slay, and Dews, PLLC (“McArthur Thames”) for lack of causation. Wallace filed suit against McArthur Thames, alleging that the accounting firm had negligently audited the financial statements of Wallace Construction and ultimately had caused the destruction of the company by failing to discover hundreds of personal credit card purchases by certain company employees, failing to discover transactions involving hundred of thousands of dollars spent by Wallace Construction to pay for personal home improvements of nonshareholder employees, and by failing to discover inappropriate accounting practices that resulted in an overstatement of income. Wallace sought to recover damages of approximately $14,000,000 allegedly suffered by him as a result of accounting work done by McArthur Thames. The trial court excluded the testimony of Wallace Construction’s sole expert on causation, finding that his opinion was unreliable and insufficient to establish proximate cause. Because the trial court mistakenly believed that expert testimony establishing causation was required in all malpractice cases, and because Wallace Construction presented sufficient lay testimony to overcome summary judgment on the issue of causation, the Mississippi Supreme Court affirmed in part, reversed in part, and remanded the case the trial court for further proceedings. In addition, the Supreme Court found the trial court abused its discretion in disallowing reasonable access to the financial information of Wallace Construction subsequent to June 30, 2012, and in its denial of discovery of the Wallaces’ personal accounts. View "T.L. Wallace Construction, Inc. v. McArthur, Thames, Slay, and Dews, PLLC" on Justia Law