Rathbone Brothers Plc & Anor v Novae Corporate Underwriting & Ors

Rathbone Brothers Plc & Anor v Novae Corporate Underwriting & Ors

PEV, in his capacity as personal trustee, was acting on behalf of RTCJ, was remunerated through RTCJ, and provided services pursuant to an agreement for compensation; he was working under RTCJ's control and supervision, and qualifies as an insured person under the policy. The excess clause does not require...

Source-derived case information.

Parties
Claimant: Rathbone Brothers Plc; Claimant: Mr Michael Paul Egerton-Vernon; Defendant: Novae Corporate Underwriting & Ors
Jurisdiction
England and Wales
Judgment Date
08 November 2013
Procedural Posture
Commercial Insurance Coverage Dispute / Judgment After Trial
Outcome
Claimants succeed; PEV is covered as insured person under the policy for the relevant period.
Legal Topics
Professional Indemnity Insurance, Trustee Liability, Policy Interpretation, Excess Clause, Subrogation, Employee Status Under Insurance, Vicarious Liability
Insurance Law Trusts Law Contract Law Professional Indemnity Insurance Trustee Liability Policy Interpretation Excess Clause Subrogation +2 more

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Parties

Rathbone Brothers Plc

Claimant

Mr Michael Paul Egerton-Vernon

Claimant

Novae Corporate Underwriting & Ors

Defendant

Procedural Posture

Commercial Insurance Coverage Dispute / Judgment After Trial

  1. 1 Whether PEV is covered as an insured person under the professional indemnity policy for acts as personal trustee
  2. 2 Whether the excess clause requires PEV to exhaust indemnity from Rathbone/RTCJ before claiming under the policy
  3. 3 Whether the Defendants have rights of subrogation or contribution against Rathbone or RTCJ

Ratio Decidendi

PEV, in his capacity as personal trustee, was acting on behalf of RTCJ, was remunerated through RTCJ, and provided services pursuant to an agreement for compensation; he was working under RTCJ's control and supervision, and qualifies as an insured person under the policy. The excess clause does not require exhaustion of indemnity from Rathbone/RTCJ before claiming under the policy, but Defendants may exercise subrogation rights against Rathbone after payment.

Court Disposition

Claimants succeed; PEV is covered as insured person under the policy for the relevant period.

Orders

  • PEV is entitled to cover under the professional indemnity policy for acts as personal trustee from 31 March 2000 to 15 October 2008, subject to policy limits.
  • PEV is not required to exhaust indemnity from Rathbone/RTCJ before claiming under the policy.