Morton v. Nguyen

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Seller and Buyers entered into a contract for a deed. Buyers made payments to Seller for almost three years. Because Seller did not provide Buyers with all information required by Tex. Prop. Code 5(D), Buyers later told Seller they were exercising their statutory right to cancel and rescind the contract for deed. Seller sued Buyers for breach of contract. Buyers counterclaimed for violations under the Property Code, among other statutory violations. Seller, in turn, alleged he was entitled to a setoff in the amount of the fair market rental value of the property for the time Buyers occupied the house. The trial court entered judgment in favor of Buyers, awarding actual damages for cancellation and rescission of the contract for deed, among other damages. The Court reversed the trial court's awards of actual damages for cancellation and rescission, holding (1) subchapter D's cancellation-and-rescission remedy contemplates mutual restitution of benefits among the parties; and (2) thus, Buyers were required to restore to Seller supplemental enrichment in the form of rent for their interim occupation of the property upon cancellation and rescission of the contract for deed. Remanded. View "Morton v. Nguyen" on Justia Law