Articles Posted in California Court of Appeal

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In 1996 Brown Field Aviation Ventures leased space at Brown Field Airport from the City of San Diego under a long-term, master lease agreement. Brown Field Aviation Ventures subleased the space to Bearden Aviation, Inc. (Bearden), and Bearden subleased it to Finch Aerospace Corporation (Finch). Finch occupied the space with three airplane hangars. Lancair Corporation (Lancair) later purchased Bearden's leasehold. In 2005 the City amended and restated the master lease. Finch attempted to enter a new lease directly with the City and remove its hangars from Lancair's leasehold; however, Lancair claimed to own and control the hangars. Finch subsequently filed a complaint against Lancair alleging causes of action for quiet title, declaratory relief, intentional interference with economic advantage, conversion, and retaliatory eviction. The issue this case presented for the Court of Appeal’s review was whether the immunities in Government Code sections 818.8 and 822.2 applied to a slander of title cause of action and, if not, whether Finch otherwise adequately alleged a slander of title cause of action against the City. The Court concluded the immunities in sections 818.8 and 822.2 did not apply to a slander of title cause of action. Furthermore, the Court concluded Finch did not otherwise adequately allege a slander of title cause of action nor did Finch demonstrate it could cure the pleading deficiencies by amendment. Therefore, the trial court did not err in sustaining the City's demurrer to Finch's complaint without leave to amend. View "Finch Aerospace Corp. v. City of San Diego" on Justia Law