Jarvis v. Nat’l City

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Ky. Rev. Stat. 386.180 mandated that testamentary trustees make a choice of compensation between either an annual fee or a fee at the termination of the trust. Plaintiffs were the beneficiaries of testamentary trusts managed by Trustees. The Caperton Trust, managed by PNC Bank, operated under a termination-fee compensation option, and the Jarvis Trusts, managed by National City, operated under an annual-fee option. After the General Assembly repealed section 386.180 in 2008, the Trustees brought a declaratory judgment action seeking a judicial determination of whether the repeal of the statute affected their compensation, where the two trusts at issue were in existence for many years before the statute was repealed. The trial court granted the Trustees' motion for summary judgment, concluding that the repeal of section 386.180 eliminated all restrictions on the calculation of trustee fees. Plaintiffs appealed. The Supreme Court affirmed, holding that the repeal of section 386.180 was complete and unlimited, and therefore, trustees of testamentary trusts could collect reasonable fees on trusts that predated the repeal of the statute. View "Jarvis v. Nat'l City" on Justia Law