American Dredging Co. v. Lambert

153 F.3d 1292, 1999 A.M.C. 227, 1998 U.S. App. LEXIS 22024, 1998 WL 598389
CourtCourt of Appeals for the Eleventh Circuit
DecidedSeptember 10, 1998
Docket97-4956
StatusPublished
Cited by21 cases

This text of 153 F.3d 1292 (American Dredging Co. v. Lambert) is published on Counsel Stack Legal Research, covering Court of Appeals for the Eleventh Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
American Dredging Co. v. Lambert, 153 F.3d 1292, 1999 A.M.C. 227, 1998 U.S. App. LEXIS 22024, 1998 WL 598389 (11th Cir. 1998).

Opinion

*1294 BLACK, Circuit Judge:

A pleasure boat carrying four passengers collided with a floating dredgepipe for which Appellant American Dredging Company, Inc. (American Dredging) was responsible. Following a bench trial, the district court found American Dredging liable to the parents and estates of two individuals killed in the accident. American Dredging filed this appeal.

I. BACKGROUND

On November 23,1991, Donald Pietruszka, Vivian Perez, and Juan Renteria went to a nightclub in Miami Beach, Florida. Around 2:15 a.m., they met up with Alejandro Lambert. Shortly thereafter, the four of them left and took a ride in a pleasure boat operated by Lambert. After riding around for a while, Lambert piloted the boat towards Fisherman’s Channel, a navigable channel located on the south side of Dodge and Lum-mus Islands.

That night, American Dredging was conducting a dredging operation in Fisherman’s Channel to deepen the waterway. Some five or six vessels, including a dredge boat, a work boat, and three or four tugs, were working in the channel. Shortly before Lambert navigated the boat into Fisherman’s Channel, a large barge and tug sought access to a dock at the Port of Miami. The dredge boat and the pipeline were blocking the dock. To permit access, one of the tugs, the Marco Island, opened the pipeline and moved a portion of it into Fisherman’s Channel, causing the dredgepipe effectively to block at least 70 percent of the navigable width of the channel. The pipeline was dark rust colored with no reflective tape or paint on it, and it was half-submerged in the water. The pipeline was supported on the water by floating orange trestles, but, at the time of the accident, was not lit for 300 feet in one direction and at least 100 feet in the other direction.

When Lambert entered Fisherman’s Channel, he was operating the boat at a speed of approximately. 30 mph. When the pleasure boat approached the pipeline, a deckhand on the Marco Island waived at the boat. Lambert maintained the boat’s course and the boat collided with the dredgepipe. All four occupants were ejected from the boat upon impact. All died except Renteria.

American Dredging filed a petition for exoneration from or limitation of liability. Several parties contested American Dredging’s right to exoneration from or limitation of liability and asserted claims under Florida and federal maritime law against'American Dredging, seeking damages resulting from American Dredging’s negligent operation of its vessels and equipment. On cross motions for summary judgment, the district court held that American Dredging’s negligence precluded both exoneration from and limitation of liability and that the decedents’ representatives potentially could recover non-pecuniary damages in the wrongful death suit. This Court affirmed. See American Dredging Co. v. Lambert, 81 F.3d 127, 130-31 (11th Cir.1996). On remand, the district court held a bench trial to determine (1) whether Lambert was comparatively negligent in his operation of the vessel and (2) what amount of damages would reasonably compensate the survivors of Lambert and Perez. 1

At trial, American Dredging tried to establish Lambert’s comparative negligence by arguing that Lambert violated statutory rules intended to prevent collisions. Specifically, American Dredging attempted to prove that Lambert violated the law by being legally intoxicated, failing to operate the boat at a safe speed, and failing to maintain a proper lookout. The district court rejected American Dredging’s statutory violation theories and further concluded that Lambert was not comparatively negligent because the pipe could not have been seen in time to avoid the accident. 2 In its final judgment, the district court awarded damages for past and future *1295 emotional pain and suffering to Lambert’s and Perez’s parents. 3 The district court further awarded prejudgment interest on the damage awards for past emotional pain and suffering from the date of death to the date of the judgment.

II. ANALYSIS

American Dredging argues that the district court erred by: (1) holding that Lambert was not comparatively negligent; (2) awarding damages for emotional pain and suffering to the surviving parents of Lambert and Perez (Claimants) even though they were not dependent on their deceased children; and (3) awarding prejudgment interest on the damages for past emotional pain and suffering from the date of death to the date of the district court’s judgment.

A. Standard of Review

In an action tried without a jury, the district court’s findings of fact “shall not be set aside unless clearly erroneous, and due regard shall be given to the opportunity of the trial court to judge of the credibility of the witnesses.” Fed.R.Civ.P. 52(a). We will not hold a factual finding to be clearly erroneous unless “after assessing the evidence, [we are] left with a definite and firm conviction that a mistake has been committed.” Worthington v. United States, 21 F.3d 399, 400 (11th Cir.1994) (internal quotations and citations omitted). We review the district court’s findings on the question of proximate cause and on the ultimate question of negligence under the clearly erroneous standard. Id. We review the district court’s conclusions of law de novo. Id.

B. Comparative Negligence

American Dredging contests the district court’s conclusion that Lambert was not comparatively negligent. More specifically, American Dredging argues that the evidence clearly showed that Lambert violated three statutes designed to avoid precisely the type of accident that occurred in this case 4 and that, under federal maritime law, the burden shifted to Claimants to prove that Lambert’s statutory violations could not have been a cause of the collision. 5 Claimants respond that the evidence supports the district court’s findings that Lambert did not violate any of the statutory rules relied upon by American Dredging. We agree with Claimants. The district court’s conclusions that Lambert was not legally intoxicated, not operating at an unsafe speed, and not failing to keep a proper lookout are not clearly erroneous. Furthermore, the district court’s ultimate conclusion that Lambert was not comparatively negligent is not clearly erroneous.

1. Intoxication.

At trial, the parties presented conflicting scientific evidence on the issue of Lambert’s alleged intoxication at the time of the accident. Lambert’s body was in the sea water for between 56 and 59 hours after the accident.

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Bluebook (online)
153 F.3d 1292, 1999 A.M.C. 227, 1998 U.S. App. LEXIS 22024, 1998 WL 598389, Counsel Stack Legal Research, https://law.counselstack.com/opinion/american-dredging-co-v-lambert-ca11-1998.