Garrison v. Target Corporation
Annotate this CaseOn the evening of May 21, 2014, Denise Garrison went to Target in Anderson, South Carolina with her eight-year-old daughter. Before entering the store, however, Denise retrieved her coupon book from her car, placed it on the hood, and proceeded to examine it. Looking up from the book, her daughter appeared with what looked like a hypodermic needle in her hand. Denise instinctively swatted the syringe out of her daughter's hand. However, in the swatting process, the syringe punctured the palm of her hand. Denise informed Target's store manager, who apologized for what happened. Denise believed the manager assured her that her medical bills would be paid, testifying that the manager said "bring us the bill." Despite Denise's belief that Target would cover her medical costs, Target refused to do so. The case proceeded to a jury trial, in which Target was found negligent, and awarded Denise $100,000 in compensatory damages and $4.51 million in punitive damages. The jury also awarded Clint $3,500 for lost wages and $5,000 for loss of consortium. The South Carolina Supreme Court granted review to determine whether the court of appeals erred in: (1) affirming the trial court's denial of Target's motion for JNOV as to liability based on a theory of constructive notice; (2) holding the statutory cap on punitive damages was an affirmative defense; (3) instructing the trial court to consider on remand the potential harm caused by Target's conduct in evaluating the constitutionality of the amount of punitive damages; and (4) refusing to award interest on punitive damages under Rule 68, SCRCP. The Supreme Court determined the evidence was sufficient for the jury to find Target had constructive notice of the syringe in its parking lot and failed to discover and remove it in the exercise of due care. In addition, Court held the statutory cap on punitive damages pursuant was not required to be pled by the defendant as an affirmative defense in order to apply. The court of appeals properly instructed the trial court to consider on remand the potential harm caused by Target's conduct in evaluating the constitutionality of the amount of the Garrisons' punitive damages award. Lastly, the Supreme Court held Denise was entitled to eight percent interest on the entirety of her damages award, including punitive damages, pursuant to Rule 68, SCRCP.
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