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Wednesday, January 23, 2019

Hamer V Sidway

Case Brief I Hamer v Sidway Without a complete and detailed background, Hamer v Sidway involved an uncle promising his nephew a clod sum of money if the nephew could refrain from drinking alcohol, smoking, swearing, and gambling until his 21st birthday. The nephew set up his end of the promise, and the uncle acknowledged that the nephew had right amply earned the money but asked if he could hold the money in the bank until the nephew was responsible enough to vexation for it.The uncle died however, and Hamer, the party with efficacious claim to the money was denied retribution by the executor of the will, Sidway. Sidway argued that the $5000 was without experimental condition because the nephew had benefited from the actions he undertook to receive the award. There were two specific legal questions that were brought originally the court. One being whether or not the nephew and uncle officially and legally agree upon this promise, and the second being the cautious examination of the definition of consideration in regards to a contract.Under investigation the court did find that the contract was binding on a certain date between the two related parties. The findings in relevance to consideration are explained below in correlation with the ruling. primarily Hamer, the plaintiff, recovered at trial, but the judgment was reversed upon appeal by Sidway. When Hamer appealed to the Court of Appeals of New York, he, the plaintiff, eventually won the suit after careful review. The courts reasoning for the decision was based upon the examination of consideration.Sidway had denied payment on the account that the nephew had benefited from the actions taken, regardless of his uncles proposal, and that the promisor, his uncle, was not benefited in all way. The court however was less concerned with whether the promisee happened to benefit from the proposal, but much concerned with how the nephew had given up his legal rights to drink alcohol, smoke tobacco, swear, and adventure in accordance with the contract.They ruled that, consideration means not so much that one party is profiting as that the other abandons some legal right to the present, or limits his legal freedom of action in the future, as an inducement for the promise of the first. It was confirmed that the nephew did give up these legal rights, and fully performed the conditions imposed. As mentioned above, the court ruled in favor of the plaintiff, Hamer, on behalf of the nephew.

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