Travelers Indemnity Co. of Connecticut v. Mayfield
The Supreme Court reviewed an original mandamus proceeding where the trial court ordered Travelers Indemnity Company to pay the attorney's fees for claimant Aliene Reed in a workers' compensation suit. Travelers contended the trial court abused its discretion by requiring it to fund opposing counsel's fees without statutory or inherent authority. The Supreme Court agreed, finding no express statutory authorization for such fee-shifting and rejecting the argument for inherent judicial authority in this context. The Court concluded that compelling a party to advance the litigation costs of the opposition on an ongoing basis unfairly skewed the litigation process, rendering a remedy by appeal inadequate. Consequently, the writ of mandamus was conditionally granted, directing the trial court to vacate the order for Travelers to pay Reed's attorney's fees.