Summary
ruling that plaintiff was entitled to judicial accounting in view of fiduciary relationship between plaintiff and defendant
Summary of this case from Stillwater Liquidating LLC v. Net Five at Palm Pointe, LLC (In re Stillwater Asset Backed Offshore Fund Ltd.)Opinion
October 10, 1995
Appeal from the Supreme Court, New York County (Harold Tompkins, J.).
In addition to imposing contractual duties, a contractual relationship may give rise to fiduciary duties regardless of whether the contract itself includes specific words or language in that regard ( see, Mandelblatt v. Devon Stores, 132 A.D.2d 162, 167-168). "It is fundamental that a fiduciary duty `is not dependent solely upon an agreement or contractual relation between the fiduciary and the beneficiary but results from the relation.'" ( Northeast Gen. Corp. v. Wellington Adv., 82 N.Y.2d 158, 172 [Hancock, Jr., J., dissenting].) Plaintiffs' allegations that they relied on defendants' expert advice as interior designers and entrusted them with their money for the purpose of procuring furnishings that defendants helped plaintiffs select, the fact that defendants do not have a stockroom and that many of the furnishings were custom-made by the various suppliers, and language in the contract itself indicating that defendants were to act, in effect, as a middleman between plaintiffs and the suppliers, tend to refute defendants' contention that their relationship with plaintiffs was that of vendor and vendee. An issue of fact is therefore raised as to whether the relationship was in fact fiduciary in nature, such that an accounting of the money plaintiffs paid defendants would be warranted.
Concur — Sullivan, J.P., Kupferman, Nardelli and Williams, JJ.