Kemezy v. Peters
79 F.3d 33 (1996)
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Rule of Law:
A plaintiff seeking punitive damages does not have the burden to introduce evidence of the defendant's net worth. The burden of producing evidence of financial status for mitigation of punitive damages rests with the defendant.
Facts:
- James Peters, a Muncie, Indiana police officer, was working a second job as a security guard at a bowling alley.
- An altercation occurred between Peters and Jeffrey Kemezy at the bowling alley.
- During the altercation, Peters wantonly beat Kemezy with his nightstick.
Procedural Posture:
- Jeffrey Kemezy sued Officer James Peters in federal district court under 42 U.S.C. § 1983 for the use of excessive force.
- A jury found in favor of Kemezy.
- The jury awarded Kemezy $10,000 in compensatory damages and $20,000 in punitive damages.
- Peters (appellant) appealed only the award of punitive damages to the U.S. Court of Appeals for the Seventh Circuit, with Kemezy as the appellee.
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Issue:
Is a plaintiff seeking punitive damages required to introduce evidence of the defendant's net worth as a prerequisite for the jury to consider such an award?
Opinions:
Majority - Posner, Chief Judge
No, a plaintiff is not required to introduce evidence of a defendant's net worth for a jury to award punitive damages. The purposes of punitive damages—such as ensuring full compensation for intangible harms, deterring wrongful conduct, and expressing community abhorrence—do not critically depend on proof of the defendant's wealth. The defendant possesses the relevant financial information and is in the best position to present it if they wish to argue that a large award would be excessive or lead to bankruptcy. A plea of poverty is a matter of mitigation or mercy, and it is the defendant's prerogative, not the plaintiff's obligation, to make such a plea.
Analysis:
This decision solidifies the Seventh Circuit's alignment with the majority rule on the burden of proof for a defendant's net worth in punitive damages cases. It establishes a clear procedural rule that places the burden of production on the defendant, who holds the information and the incentive to use it for mitigation. This prevents plaintiffs from being forced into intrusive financial discovery and shields defendants from having their wealth used prejudicially by plaintiffs to encourage a 'deep pockets' verdict. The ruling reinforces the principle that reprehensible conduct is punishable regardless of wealth, while allowing the defendant to argue for mercy based on their financial reality.

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