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..."occurrence(s)" fidelity policy, continues be the subject of much litigation. This article will discuss two recent cases that sided with the insurer, finding that multiple acts of dishonesty committed by one employee were a single "occurrence", and that all resulting loss was subject to a single Limit of Insurance. A word of caution is necessary as both cases are currently being appealed.
In Madison Materials Co., Inc. v. St. Paul Fire & Marine Insurance Co., (21) St. Paul insured Madison Materials for losses caused by Employee Dishonesty under a series of continuously renewed policies from 1991 to 2003. During this period of time, the Madison Materials employee embezzled $1,469,148.53, with losses occurring in each of the years from 1992 to 2002. St. Paul's investigation of the claim confirmed the embezzlement, and as a result, St. Paul tendered its $350,000 limit of liability for losses occurring and discovered during the policy period January 26, 2000 to January 26, 2003. Madison Materials claimed that the St. Paul policies covered the entire $1,469,148.53 of loss on the theory that it was entitled to recover the policy limits for each year the St. Paul policies were in effect. Despite Madison Materials' curious theory of recovery, the federal district court distilled its analysis down to two issues: the applicable policy period and the St. Paul policy's definition of occurrence. (22) This article discusses only the court's analysis of the policy's occurrence definition. St. Paul's policy contained the following Limitation of Insurance provision:
[t]he most We will pay for loss in any one "occurrence", is the applicable limit of insurance shown in the DECLARATIONS.
The policy defined "occurrence" as:
... an act or series of related acts involving one or more "employees".
It was St. Paul's contention...
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