Can a property owner recover goodwill lost in an inverse condemnation action?

California, United States of America


The following excerpt is from San Diego Metropolitan Transit Development Bd. v. Handlery Hotel, Inc., 73 Cal.App.4th 517, 86 Cal.Rptr.2d 473 (Cal. App. 1999):

Although the statutory scheme applies only to eminent domain proceedings, the right to recover goodwill lost has been extended to the indirect condemnee. (Chhour v. Community Redevelopment Agency (1996) 46 Cal.App.4th 273, 279, 53 Cal.Rptr.2d 585.) Thus, "goodwill is compensable in an inverse condemnation action to the same extent and with the same limitations on recovery found in ... section 1263.510." (Id. at p. 282, 53 Cal.Rptr.2d 585.)

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