Posted July 29, 2010
Releases—
McKeever v. Rushing,
35 FLW D1530, 2010 WL 2696343 (Fla. 2nd DCA July 9, 2010)
Second DCA Reverses Summary Judgment In Favor Of Insurer Finding That Factual Issues Remained As To Whether
Insured Intended To Release Bodily Injury Claims When Insurer Paid Property Damage Only,
Despite The Fact That Clear Language Of Release Included Bodily Injury Claims