Multani v. Knight

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A landlord can not be held liable to a commercial tenant for damage to the tenant's property resulting from an alleged sewer backup when the tenant (who had a month-to-month tenancy in the premises after her lease expired) had stopped paying rent, had been served (but failed to comply) with a three-day notice to pay rent or quit, and had been named in an unlawful detainer action filed before the alleged sewer backup occurred. In this case, the month-to-month tenancy was terminated by the tenant's failure to pay rent coupled with the landlord's filing of the wrongful detainer action. Therefore, as of the filing of the wrongful detainer action, the Court of Appeal held that the tenant was a tenant at sufferance who had no lawful right to possession of the premises. The court held that the landlord was not liable for damage to the tenant's property left on the premises when that damage was not caused by the landlord's intentional act or negligence. The court affirmed the judgment of the trial court. View "Multani v. Knight" on Justia Law