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INTERNAL PROTOTYPE — NOT LEGAL ADVICE — DO NOT SEND

Section 1950

Citation
Section 1950
Parent Document
Granberry v. Islay Investments, 889 P.2d 970 (1995)
Jurisdiction
California (state)
Effective Date
1995-03-06

Other Sections in This Document (169)

Full Text

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[7] The term "fluid recovery" refers to the application of the equitable doctrine of cy pres in the context of a modern class action. (State of California v. Levi Strauss & Co. (1986) 41 Cal.3d 460, 472 [224 Cal. Rptr. 605, 715 P.2d 564].) "The implementation of fluid recovery involves three steps. [Citation.] First, the defendant's total damage liability is paid over to a class fund. Second, individual class members are afforded an opportunity to collect their individual shares by proving their particular damages, usually according to a lowered standard of proof. Third, any residue remaining after individual claims have been paid is distributed by one of several practical procedures that have been developed by the courts." (Id. at pp. 472-473.)