United States Third Circuit

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Lupu v. Loan City LLC, 17-1944

Held that a real estate title insurer had a duty to defend the insured party (here the successor to a lender) against certain claims of the borrower/mortgagor. The title insurer disputed that it had a duty to defend. Applying Pennsylvania law, the Third Circuit held that a duty to defend existed under the facts, but only as to certain of the borrower's claims.

Appellate Information

  • Decided
  • Published 2018/09/10


  • Ambro


  • United States Third Circuit


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