In 1969, Houston Light & Power obtained a prescriptive easement to place an electricity transmission tower on a lot in Texas. In 1998, the electric company leased space on the electric tower to a cellular company, which then placed a cellular antenna on the tower. Later in 1998, John Gates purchased the lot, not noticing the cellular antenna until after he took possession of the property.

Gates filed suit in Gates v. Sprint Spectrum LLC alleging a trespass and looking to recover the value of cellular company’s lease of the space. The district court ruled against Gates, finding that the cellular company’s use of the land was a permanent trespass, which Texas law recognizes as a cause of action only on behalf of the owner at the time the trespass was originally committed. Accordingly, the lower court held, Gates had no standing to sue. Gates appealed the district court’s ruling.

In 1969, Houston Light & Power obtained a prescriptive easement to place an electricity transmission tower on a lot in Texas. In 1998, the electric company leased space on the electric tower to a cellular company, which then placed a cellular antenna on the tower. Later in 1998, John Gates purchased the lot, not noticing the cellular antenna until after he took possession of the property.

Gates filed suit in Gates v. Sprint Spectrum LLC alleging a trespass and looking to recover the value of cellular company’s lease of the space. The district court ruled against Gates, finding that the cellular company’s use of the land was a permanent trespass, which Texas law recognizes as a cause of action only on behalf of the owner at the time the trespass was originally committed. Accordingly, the lower court held, Gates had no standing to sue. Gates appealed the district court’s ruling.

On appeal, the lower court’s ruling was upheld. It was undisputed that the cellular antenna was installed prior to Gates’ purchase of the property, and also undisputed that the installation constituted a trespass. The issue of whether the trespass was temporary or permanent, the court explained, would determine whether Gates had standing to bring a case against the cellular company.

The court went on to define a temporary trespass as one "so irregular or intermittent over the period leading up to filing and trial that future injury cannot be estimated with reasonable certainty," and defined a permanent trespass as "sufficiently constant or regular (no matter how long between occurrences) that future impact can be reasonably evaluated."

"Because neither the existence nor the nature of the trespass changed over time," and because this sort of trespass is not unique, the injury to the land could be predicted with certainty.

Gates did not dispute the constancy or predictability of the trespass, the court stated. Rather, his only argument was that the trespass injured his right of possession.

The appellate court ruled that the possessory issue was irrelevant to the standing issue and did not give rise to any other cause of action under Texas law. As a result, the court agreed with the lower court that the trespass was permanent and that Gates lacked standing to sue, because the trespass occurred prior to his purchase and was permanent in nature.

Tara-Nicholle Nelson is author of "The Savvy Woman’s Homebuying Handbook" and "Trillion Dollar Women: Use Your Power to Make Buying and Remodeling Decisions." Ask her a real estate question online or visit her Web site, www.rethinkrealestate.com.

***

What’s your opinion? Leave your comments below or send a letter to the editor. To contact the writer, click the byline at the top of the story.

Show Comments Hide Comments
Sign up for Inman’s Morning Headlines
What you need to know to start your day with all the latest industry developments
By submitting your email address, you agree to receive marketing emails from Inman.
Success!
Thank you for subscribing to Morning Headlines.
Back to top
×
Log in
If you created your account with Google or Facebook
Don't have an account?
Forgot your password?
No Problem

Simply enter the email address you used to create your account and click "Reset Password". You will receive additional instructions via email.

Forgot your username? If so please contact customer support at (510) 658-9252

Password Reset Confirmation

Password Reset Instructions have been sent to

Subscribe to The Weekender
Get the week's leading headlines delivered straight to your inbox.
Top headlines from around the real estate industry. Breaking news as it happens.
15 stories covering tech, special reports, video and opinion.
Unique features from hacker profiles to portal watch and video interviews.
Unique features from hacker profiles to portal watch and video interviews.
It looks like you’re already a Select Member!
To subscribe to exclusive newsletters, visit your email preferences in the account settings.
Up-to-the-minute news and interviews in your inbox, ticket discounts for Inman events and more
1-Step CheckoutPay with a credit card
By continuing, you agree to Inman’s Terms of Use and Privacy Policy.

You will be charged . Your subscription will automatically renew for on . For more details on our payment terms and how to cancel, click here.

Interested in a group subscription?
Finish setting up your subscription
×