Following earlier rulings on a derivative leave motion in estate litigation, the court addressed outstanding procedural directions and the issue of costs for five related motions.
The plaintiffs sought substantial indemnity costs exceeding $144,000 for work connected primarily to the derivative issues.
Applying Rule 57 of the Rules of Civil Procedure and the proportionality principles discussed in Boucher v. Public Accountants, the court held that the requested amount far exceeded the reasonable expectations of the unsuccessful parties for a one‑day motion.
Substantial indemnity costs were denied.
The court fixed costs payable by the defendants jointly and severally at $55,000 inclusive of taxes and interest.