Rural Water System No. 1 v. SIOUX CENTER, IOWA

38 F. Supp. 2d 1057, 1999 U.S. Dist. LEXIS 3074, 1999 WL 133103
CourtDistrict Court, N.D. Iowa
DecidedMarch 11, 1999
DocketC 95-4112-MWB
StatusPublished
Cited by9 cases

This text of 38 F. Supp. 2d 1057 (Rural Water System No. 1 v. SIOUX CENTER, IOWA) is published on Counsel Stack Legal Research, covering District Court, N.D. Iowa primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Rural Water System No. 1 v. SIOUX CENTER, IOWA, 38 F. Supp. 2d 1057, 1999 U.S. Dist. LEXIS 3074, 1999 WL 133103 (N.D. Iowa 1999).

Opinion

MEMORANDUM OPINION AND ORDER REGARDING ATTORNEYS’ FEES, EXPENSES, AND COSTS

BENNETT, District Judge.

TABLE OF CONTENTS

/. BACKGROUND.1060

II. LEGAL ANALYSIS.1061

A. RTFS #l’s Claim For Fees And Expenses.1061

1. Fees claimed.1061

2. Expenses claimed.1062

3. Calculation of a reasonable fee.1062

a. Reasonable hourly rate.1063

b. Hours reasonably expended.1063

i. Partial success.1064

it Excess hours.1065

iii. Duplication.1066

iv. Inadequate record-keepiny.1066

c. Summary of fees allowed.1066

4. Determination of reasonable expenses .1067

5. Award for fees and expenses . 1069

B. The City’s Request For Review Of Taxation Of Costs.1069

III. CONCLUSION .1069

Perhaps it is the nature of “turf wars” that the combatants are willing to do anything to hold their territory without counting the costs. However, when the dust settles, some painful accounting must ultimately be made, and that is certainly true in litigation when the court is asked to award the fees and costs of the winner out of the coffers of the loser. The law requires the court to engage in a post hoc analysis that does not tolerate a “win at any cost” mentality. Instead, the court must ask questions that may never have occurred to the parties in the heat of battle: How big a victory was obtained, and at what price?

I. BACKGROUND

This case involved a “turf war” between a non-profit corporation and a municipality over which entity was entitled to distribute water in a disputed territory surrounding the municipality. In the course of ruling on dispositive motions and entering judgment after a three-day bench trial on the merits, the court determined the boundaries of plaintiff RWS # 1’s federally-protected service area and what actions of the defendant City constituted curtailments or encroachments upon that service area in violation of 7 U.S.C. § 1926(b). The court thus granted declaratory and injunctive relief on RWS # l’s federal claim, pursu *1061 ant to 42 U.S.C. § 1983 and the Declaratory Judgment Act , 28 U.S.C. §§ 2201 and 2202, premised on violation of § 1926(b). However, the court ultimately found in favor of the City on RWS # l’s state-law claims of tortious interference with prospective business advantage, conversion of property, and inverse condemnation, and directed entry of judgment that RWS # 1 take nothing on these claims. See Rural Water Sys. # 1 v. City of Sioux Ctr., 29 F.Supp.2d 975 (N.D.Iowa 1998) (trial on the merits); see also Rural Water Sys. # 1 v. City of Sioux Ctr., 967 F.Supp. 1483 (N.D.Iowa 1997) (summary judgment).

This matter is now before the court pursuant to RWS # 1’s December 8, 1998, motion for attorneys’ fees and expenses pursuant to 42 U.S.C. § 1988. RWS # l’s claim is for $321,277.05 in fees for attorneys and paralegals, and $56,239.56 in expenses, for a total of $377,516.61, for what at bottom was a case culminating in only a three-day bench trial. In addition, the court must consider the City’s January 28, 1999, request for review, pursuant to Fed. R.Civ.P. 54(d), of the taxation of $6,586.20 in costs by the Clerk of Court. After the filing of various briefs and supplements, the court heard oral arguments on the motions on March 3, 1999. Plaintiff RWS # 1 was represented by lead counsel Louis T. Rosenberg of Louis T. Rosenberg, P.C., in San Antonio, Texas. 1 Defendant City of Sioux Center, Iowa, was represented by Ivan T. Webber of Ahlers, Cooney, Dorweiler, Haynie, Smith & Allbee, P.C., in Des Moines, Iowa.

II. LEGAL ANALYSIS

A. RWS #l’s Claim For Fees And Expenses

1. Fees claimed

The court turns first to RWS # l’s claim for attorneys’ fees and expenses. The hours and hourly rates, charged by RWS # l’s attorneys and paralegals are summarized in the following tables: 2

FEES CLAIMED FOR ATTORNEYS

Name Hrs. Rate Total Fee Claimed/As Calculated

Louis Rosenberg 588.2 $200 $117,640

Michael Gershon 121.0 $115 $14,596.55/ $13,915

D.C. Money 1.7 $115 $195.50

R. Sease (local counsel) 498 $100 $49,800

Total Hours Claimed 1,208.9 Total Fee Requested $182,232.05/ $181,550.50

FEES CLAIMED FOR PARALEGALS

Sonia Rosenberg 935 $85 $79,475

Ronald Horne 614.2 $85 $52,209/$52,207

Michael Gershon 88.9 $85 $7,556.50

Total Hours Claimed 1,638.1 Total Fee Requested $139,240.50/ $139,238.50

*1062 As these tables reflect, the court has found two simple mathematical errors in the calculation of the total fees, one in the calculation of fees for attorney Gershon, and one in the calculation of fees for paralegal Horne. The differences amount to only $683.55, but the court has nonetheless relied upon its own calculation of these fees in determining the appropriate fee award. Based on these tables, the starting point for analysis of RWS # l’s claim is fees for attorneys and paralegals totalling $320,-789. 3

2. Expenses claimed

In its original brief in support of its application for fees and expenses, RWS # 1 listed $102,975.56 in out-of-pocket expenses. These expenses included $38,-411.00 in fees for expert Trotter of McClure Engineering, and another $8,325.00 in fees for expert CPA Murphy. The City protested the inclusion of expert fees as not authorized by 42 U.S.C. § 1988, citing West Virginia Univ. Hosps., Inc. v. Casey, 499 U.S. 83, 111 S.Ct.

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Bluebook (online)
38 F. Supp. 2d 1057, 1999 U.S. Dist. LEXIS 3074, 1999 WL 133103, Counsel Stack Legal Research, https://law.counselstack.com/opinion/rural-water-system-no-1-v-sioux-center-iowa-iand-1999.