Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Citation
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Parent Document
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Jurisdiction
- Washington (state)
- Effective Date
- 2016-12-22
Other Sections in This Document (51)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
- Faciszewski v. Brown, 187 Wash. 2d 308 (2016)
Full Text
822 chars¶20 Tenants also rely on Hale v. Farrakhan, 390 N.J. Super. 335, 915 A.2d 581 (2007). Suppl. Br. of Pet’rs at 6. In Hale, the court held that in a wrongful eviction action, the landlord has the burden of proving his failure to personally occupy the unit was not arbitrary. 390 N.J. Super, at 337. Because Hale concerned wrongful eviction actions brought by tenants, rather than unlawful detainer actions brought by landlords, the case is of limited usefulness. While Hale provides some insight as to why New Jersey state courts also place the burden of proof on the landlord in an unlawful detainer action, id. at 340-41, the issue in the present case does not concern who bears the burden of proof. Rather, this case concerns the ability of the tenant to present evidence rebutting the landlord’s certification of intent.