Scaffidi v. United Nissan

425 F. Supp. 2d 1172, 2005 WL 3941461
District Court, D. Nevada·Decided November 28, 2005·No. CV-S-04-1366-PMP LRL·Published·Cited by 1 cases

Opinion

*1175 ORDER

PRO, Chief Judge.

Presently before this Court is Defendant/Third Party Plaintiff United Nissan’s Motion for Summary Judgment of All Counts Alleged in Nicholas S. Scaffidi’s Complaint or Alternatively a Motion to Exclude Spoiled Evidence (Doc. # 78) filed on July 5, 2005. Plaintiff Nicholas C. Scaf-fidi filed Nicholas C. Scaffidi’s Brief in Opposition to Defendant United Nissan’s Motion for Summary Judgment of All Counts Alleged in Nicholas C. Scaffidi’s Complaint or Alternatively a Motion to Exclude Spoiled Evidence and Motion to Dismiss Claims Three and Four of Nicholas C. Scaffidi’s Complaint (Doc. ## 92, 93) on July 25, 2005.

Defendant Nissan Motor Acceptance Corporation (“NMAC”) filed Defendant NMAC’s Joinder in Defendant United Nissan’s Motion for Summary Judgment or Alternatively Motion to Exclude Spoiled Evidence (Doc. #79) on July 6, -2005. Plaintiff Nicholas S. Scaffidi filed Plaintiff Nicholas S. Scaffidi’s Brief in Opposition to Defendant United Nissan’s Motion for Summary Judgment (Doc. # 94) on July 25, 2005. Defendant NMAC filed NMAC’s Reply to Nicholas S. Scaffidi’s Brief in Opposition to Defendant United Nissan’s Motion for Summary Judgment or to Exclude Spoiled Evidence (Doc. # 99) on August 5, 2005. Defendant/ Third-Party Plaintiff United Nissan filed United Nissan’s Reply to Plaintiff Nicholas C. Scaffidi’s Brief in Opposition to Defendant United Nissan’s Motion for Summary Judgment and Defendant/ Third-Party Plaintiff United Nissan’s Strike Certain Allegations made by Gren-ville Pridham in Plaintiff Nicholas C. Scaf-fidi’s Opposition (Doc. ## 103, 104, 105, 106) on August 4, 2005. NMAC filed Defendant NMAC’s Joinder in Defendant United Nissan’s Reply to Plaintiff Nicholas S. Scaffidi’s Brief in Opposition to Defendant United Nissan’s Motion for Summary Judgment and Defendant NMAC’s Joinder in Defendant United Nissan’s Motion to Strike Certain Allegations Made by Grenville Pridham, Esq. in Plaintiff Nicholas S. Seaffidi’s Opposition (Doc. ##114, 115) on August 19, 2005.

I. BACKGROUND

This case arises out of a contract dispute regarding Defendant United Nissan’s sale of a used Chevrolet Camaro (“Camaro”), manufacturer’s serial number 2G1FP32KX12113873, to Nicholas S. Scaf-fidi. (Three-Day Notice of Intent to Take Default [Doc. # 19], Ex. A.) On October 1, 2002, Nicholas S. Scaffidi bought the car from United Nissan (“Nissan”) for $26,566.06. (Compl.; Three-Day Notice of Intent to Take Default, Ex. A.) Nicholas S. Scaffidi traded a 1995 Pontiac Trans Am (“Trans Am”), in exchange for a $5000 credit as part of the negotiated deal for the Camaro. (Three-Day Notice of Intent to Take Default, Ex. A.) Nicholas C. Scaffi-di is Nicholas S. Scaffidi’s father.

Plaintiffs’ claims involve three separate issues. First, Plaintiffs allege Defendants sold the Camaro without disclosing major structural damage the car had sustained and that Defendants refused to honor the warranties covering the contract. (Compl. at 7-8.) Plaintiffs allege that Defendants did not honor Nicholas S. Scaffidi’s legal rescission of the contract. (Compl. at 7-8.) Second, Plaintiffs allege that Defendants fraudulently conducted the credit application process and contract negotiation in connection with the sale of the Camaro. (Id. at 6-7.) Plaintiffs allege Defendants negligently and wilfully used the social security number of Nicholas C. Scaffidi, Nicholas S. Scaffidi’s father, to sell the Camaro to Nicholas S. Scaffidi. (Id.) Additionally, Plaintiffs allege that Defendants manipulated the sales process to add addi *1176 tional, unapproved fees to the final sale price. (Id. at 7.)

Plaintiffs and Defendants offer significantly different versions of the transaction. Plaintiffs allege that Defendants sold Nicholas S. Scaffidi the Camaro without divulging significant prior damage, and then refused to honor the warranty on the car. Plaintiffs argue that a window placard, allegedly removed from the window of the Camaro, establishes that the Camaro was covered by a partial warranty. (PI. Nicholas S. Scaffidi’s Brief in Opp’n to Def. Nissan Motor Acceptance Corp.’s Mot. for Summ. J. [“Pl.’s Opp’n”], Ex. 4.) Specifically, the window placard, which appears to be titled “Buyers Guide,” provides:

Limited Warranty. The dealer will pay 50% of the labor and 50% of the parts for the covered systems that fail during the warranty period.

(Id.) The window placard specifies the duration of the warranty as “1 month or 1000 miles.” (Id.) NMAC offers a different buyers guide for the Camaro, VIN 2G1FP32KX12113873 (Nissan Motor Acceptance Corp.’s Motion for Summary Judgment or, in the Alternative, Motion for Partial Summary Judgment NMAC’s Mot. for Summ. J., Ex. A at Ex. 2.) This Buyers Guide states that the Camaro is sold “AS IS — NO WARRANTY.” (Id.) The Buyers Guide further states, “YOU WILL PAY ALL COSTS FOR ANY REPAIRS. The dealer assumes no responsibility for any repairs regardless of any oral statements about the vehicle.” (Id.) The Simple Interest and Vehicle Contract between Nicholas S. Scaffidi and Nissan provides:

If you are buying a used vehicle with this contract, as indicated in the description of the vehicle above, federal regulation may require a special buyer’s guide to be displayed on the window.

(Three-Day Notice of Intent to Take Default, Ex. A.)

The parties provide two copies of an “After Sale Work Agreement,” both signed by Nicholas S. Scaffidi. (Def./ Third-Party Pl. United Nissan’s Mot. for Summ. J. of All Accounts Alleged by Nicholas S Scaffidi’s Compl. or Alternatively a Mot. to Exclude Spoiled Evidence [“Def.’s Mot. Summ. J.”], Ex. B.) The first copy, dated October 1, 2002, includes the typed statement, “SOLD AS IS OR AS EQUIPPED — NOTHING ELSE PROMISED OR .IMPLIED — PLEASE INITIAL,” next to which Nicholas S. Scaffidi signed his initials. (Id. (emphasis in original).) That contract was not signed by a Nissan sales manager. (Id.) A second copy, which is undated, includes the handwritten statement, “SOLD AS IS — Nothing Else Promised or Implied.” (Id.) Nicholas S. Scaffidi did not initial next to the handwritten statement. However, he did initial the agreement in five other places and placed his full signature at the bottom of the agreement. (Id.) Both copies include the following statement:

Any and all promises made to you, by any representative of United Nissan, must be in writing or will NOT be honored ....

(Id.)

With regard to the transaction, Nicholas S. Scaffidi alleges Nissan affirmatively misrepresented the car’s actual price, and manipulated the credit process to trick Scaffidi into paying more for the car. (Compl. at 2-3.) Plaintiffs further allege that Nissan fraudulently used Nicholas C. Scaffidi’s social security number to process the credit application. (Id. at 6-7.) Nissan contends that Nicholas S. Scaffidi fraudulently provided his father’s social security number to buy the car. (Def.’s Mot. for Summ. J. at 25-26.)

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Scaffidi v. United Nissan, 425 F. Supp. 2d 1172, 2005 WL 3941461 (D. Nev. 2005).

425 F. Supp. 2d 1172 (Scaffidi v. United Nissan) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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