Guest Statutes
GUEST STATUTES
Widely adopted in the 1920s and 1930s, guest statutes were state laws that strictly limited liability in car accidents. These laws curtailed the legal rights of "guests"—nonpaying passengers such as friends or neighbors—who brought lawsuits against drivers after being hurt. Generally speaking, they prevented guests from suing car drivers or owners except in cases of a very high degree of negligence. Mere ordinary carelessness was an insufficient ground for a suit: if a guest was injured when a driver momentarily failed to pay attention and crashed the car, most states would reject a lawsuit. The net effect of guest statutes was to protect drivers and insurance companies while leaving injured passengers, for the most part, out of luck. Constitutional challenges to the laws frequently appeared in state and federal courts throughout the middle of the twentieth century, but courts waited until the 1970s and 1980s to begin narrowing and ultimately striking down the statutes in wholesale numbers.
The first guest statutes appeared in 1927, in Connecticut and Iowa (1927 Conn. Pub. Acts 4404, ch. 308, § 1 [repealed 1937]; Iowa Code Ann. § 321.494 [Supp. 1983]). Coinciding with a burst in manufacturing that increased the number of automobiles produced, the laws arose to meet the growing number of suits resulting from car accidents. By 1939, the last year in which a guest statute was enacted, thirty-three states had such laws or court precedents of comparable effect. The rationale behind the statutes was that a driver's liability should be limited: mere carelessness was seen as so commonplace that drivers in all accidents would be held liable for hurting their passengers were that the standard. For an injured passenger to surmount the barriers of a guest statute, greater evidence would have to be shown. A lawsuit would have to prove that the driver's actions were much more than careless—that they were grossly or willfully negligent. Other states went further, setting the standard as willful or wanton mis-conduct. In essence, little short of an utter disregard for safety or a desire to run someone off the road would hold up in court in a civil suit.
Thus, in one typical 1943 case, the Iowa guest statute prevented a passenger from recovering for injury. On May 30, 1942, a four-door Plymouth carrying five teenagers along a narrow, twisty gravel road went out of control, hit a bridge, and turned over. Driving was seventeen-year-old Fabian Gehl. Seconds before the accident, Gehl had leaned over to pick up a cigarette from the floor of the car. John Neyens, an eighteen-year-old passenger who was injured in the accident, sued Gehl. Under the guest statute, Neyens had to convince a jury that Gehl's behavior was reckless. At trial, the jury ruled in favor of the defendant, finding that reaching down for a cigarette, smashing the car into a bridge, and rolling it over was something short of reckless. On appeal, Neyens lost again (Neyens v. Gehl et al., 235 Iowa 115, 15 N.W. 2d 888 [1944]).
Over the years, guest statutes caused considerable controversy. When they were defended at all, it was to argue that they were needed to prevent drivers and passengers from colluding to bring fraudulent claims against insurers. Critics took a different tack: they argued that guest statutes unfairly protected drivers and insurance companies, while leaving injured passengers and the survivors of dead passengers with no compensation for their losses. The distinction between paying and nonpaying passengers seemed arbitrary: why should friends given a ride in a car be unable to recover damages when, for example, commuters riding in a bus were able to do so? In many states, even cattle being transported to market enjoyed greater legal protection than a guest in a car. But such arguments fell on deaf ears for many years. As early as 1929, the U.S. Supreme Court rejected a constitutional challenge to a guest statute on due process grounds (Silver v. Silver, 280 U.S. 117, 50 S. Ct. 57, 74 L. Ed. 221), and as late as 1977, it refused to hear another challenge because it did not pose a substantial federal question (Hill v. Garner, 434 U.S. 989, 98 S. Ct. 623, 54 L. Ed. 2d 486 [mem.]).
Nonetheless, the death knell for guest statutes began in the 1970s. As the concept of liability evolved, state legislatures began providing other means for passengers to seek compensation, and a few repealed their guest laws. Reacting to these changes, courts began to carve out exceptions in existing guest statutes, and ultimately to overturn the laws on constitutional grounds. Thus, the Supreme Court of Utah said, when striking down Utah's guest statute in 1984, "The original scope of the guest statute has been substantially narrowed, and its application to any particular guest is both problematic and irrational" (Malan v. Lewis, 693 P.2d 661). By 1996, only Alabama still had a guest statute (Ala. Code § 32-1-2).
further readings
Appendix E: Letter from Friedrich K. Juenger to Harry C. Sigman, Esq., September 16, 1994. 1995. Vanderbilt Journal of Transnational Law (May).
Cite this article
Pick a style below, and copy the text for your bibliography.
|
Excalibur to Deliver Breakthrough Video Analysis, Indexing and Retrieval Functionality to Microsoft NetShow Developers.
Business Wire; 1/26/1998; 700+ words
; ...BUSINESS WIRE)--Jan. 26, 1998-- Excalibur Video Analysis Engine (VAE) Positioned...Standard For Video Applications Development Excalibur Technologies (NASDAQ: EXCA), the...distribution agreement with Microsoft whereby Excalibur will integrate their newly developed...
|
|
Excalibur Technologies Announces Excalibur RetrievalWare 6.0
PR Newswire; 11/12/1996; 700+ words
; ...Va., Nov. 12 /PRNewswire/ -- Excalibur Technologies Corporation (Nasdaq: EXCA), today introduced Excalibur RetrievalWare(TM) 6.0, the first...knowledge retrieval. Building upon Excalibur's unified architecture for finding...
|
|
Excalibur Technologies Announces Excalibur EFS 3.6; New Enhancements Widen the Appeal of the Leading Client/Server Information Retrieval Software.
Business Wire; 4/11/1995; 700+ words
; SAN DIEGO--(BUSINESS WIRE)--April 11, 1995--Excalibur Technologies Corporation (NASDAQ:EXCA) today announced Excalibur EFS(r) 3.6 -- the latest release of Excalibur's advanced client/server document management and retrieval...
|
|
Excalibur Technologies Announces First Parallel Processing Text Retrieval Server; Excalibur TRS 2.0 Includes World Wide Web Server Integration Kit and Support for Microsoft Windows NT and Silicon Graphics IRIX.
Business Wire; 4/11/1995; 700+ words
; ...WIRE)--April 11, 1995--Excalibur Technologies Corporation (NASDAQ...today announced version 2.0 of Excalibur TRS Text Retrieval Server, the...across multiple text databases. Excalibur TRS version 2.0 also supports...
|
|
Excalibur Technologies continues international expansion.
Business Wire; 3/11/1997; 700+ words
; ...expands presence in U.K. and France Excalibur Technologies Corp. (NASDAQ:EXCA...addition, the company announced that Excalibur Technologies International Limited...This agreement enables OCS to market Excalibur's full range of knowledge retrieval...
|
|
Excalibur Technologies to merge with ConQuest Software; text and multimedia information retrieval leaders join forces to expand products, channels and markets.
Business Wire; 7/6/1995; 700+ words
; ...BUSINESS WIRE)--July 6, 1995--Excalibur Technologies Corporation, a leader in...of advanced text management software. Excalibur will remain the surviving corporation...management. The merger provides that Excalibur will issue approximately 1.4 million...
|
|
Excalibur Visual RetrievalWare awarded 'Imaging Solution of the Year'; Excalibur continues to receive industry-wide recognition for 'Best of Breed' Knowledge Retrieval Solutions.
Business Wire; 6/18/1997; 700+ words
; ...BUSINESS WIRE)--June 18, 1997--Excalibur Technologies Corp. (NASDAQ:EXCA...Wednesday announced that its product, Excalibur Visual RetrievalWare(TM), has been...to provide the service. These include Excalibur's image retrieval technology (Excalibur...
|
|
Excalibur Edge Partners Program Off to Fast Start With New Partner Signings.
Business Wire; 9/8/1997; 700+ words
; ...Competitors Including Verity and Fulcrum Excalibur Technologies Corp. (NASDAQ:EXCA...solutions, Monday announced that the Excalibur Edge(TM), the company's new partners...for knowledge management solutions, Excalibur also announced an aggressive "trade...
|
|
Excalibur And found.com Enter Into Comprehensive Development and Licensing Agreement.
Business Wire; 11/18/1999; 700+ words
; ...BUSINESS WIRE)--Nov. 17, 1999-- Excalibur Technologies (NASDAQ:EXCA), a leading...agreement that enables found.com to utilize Excalibur RetrievalWare(R) WebExpress for advanced...a substantial initial cash payment, Excalibur is entitled to receive additional cash...
|
|
Excalibur Technologies reports preliminary third quarter results, appoints Patrick C. Condo chief executive officer; leading information retrieval software provider achieves 61% revenue growth, Condo assumes new post following resignation of J.M. Kennedy due to illness.
Business Wire; 11/17/1995; 700+ words
; ...BUSINESS WIRE)--Nov. 17, 1995--Excalibur Technologies Corp. (NASDAQ:EXCA...third quarter ended Oct. 31, 1995. Excalibur reported revenues of $5,007,000...for the third quarter of last year. Excalibur also expects to report net income results...
|
|
Excalibur
Book article from: Myths and Legends of the World
Excalibur In Arthurian legends, Excalibur was King Arthur's magic sword. There are two accounts of how Arthur obtained Excalibur. According to one version, the sword had been plunged into...
|
|
MTR Gaming Group, Inc.
Book article from: International Directory of Company Histories
...guard market. Its name was changed to Excalibur Security Services, Inc., but the experiment soon failed. Excalibur Security filed a voluntary petition...an event marked by a name change to Excalibur Holding Corporation. It was while...
|
|
Morgan Le Fay
Book article from: Myths and Legends of the World
...magical island. She appears as a benevolent figure when she gives Arthur the magical sword Excalibur and takes him to Avalon when he is near death. See also Arthur, King; Arthurian Legends; Avalon; Excalibur; Lady of the Lake; Merlin.
|
|
Morgan le Fay
Encyclopedia entry from: Encyclopedia of Occultism and Parapsychology
...Gore. Arthur gave into her keeping the scabbard of his sword Excalibur, but she gave it to Sir Accolon whom she loved and had a...Vita Merlini. It was she who, on one occasion, threw Excalibur into a lake. She usually presented her favorites with a ring...
|
|
Jordan, Neil
Dictionary entry from: International Dictionary of Films and Filmmakers
...1976; worked as a "creative associate" on John Boorman's Excalibur, in fringe theatre, and as a writer, before making his...The End of the Affair (+ sc, pr) Other Films: 1981 Excalibur (Boorman)(creative associate); Traveller (Comerford...
|