538 U.S. 408 (2003), Supreme Court of the United States
State Farm v. Campbell is the Supreme Court's most influential modern statement on the constitutional limits of punitive damages.
Does a $145 million punitive damages award—145 times the $1 million compensatory damages—based in significant part on out-of-state and dissimilar conduct, violate the Due Process Clause of the Fourteenth Amendment?
Under the Due Process Clause, punitive damages must be reasonable and proportionate to the actual harm suffered and to the state's legitimate interests in punishment and deterrence. Courts evaluate punitive awards using the BMW v. Gore guideposts: (1) the degree of reprehensibility (the most important factor), assessed by considering whether the harm was physical or economic, whether the conduct showed indifference to the health or safety of others, whether the target was financially vulnerable, whether the conduct was repeated or isolated, and whether the harm resulted from intentional malice, trickery, or deceit; (2) the ratio between punitive and compensatory damages, with the Court cautioning that, in practice, few awards exceeding a single-digit ratio will satisfy due process and that a 1:1 ratio may be near the constitutional line when compensatory damages are substantial; and (3) the disparity between the punitive award and civil penalties authorized or imposed in comparable cases. A state may not use punitive damages to punish a defendant for lawful out-of-state conduct or for harms to nonparties, and a defendant's wealth cannot justify an otherwise unconstitutional award.
Yes. The $145 million punitive damages award violated the Due Process Clause. The Court reversed the Utah Supreme Court and remanded for proceedings consistent with its opinion.
State Farm cabins jury discretion and provides operational guidance to courts reviewing punitive damages. It refines BMW v. Gore by stressing that punitive damages ordinarily should not exceed single-digit ratios to compensatory damages, especially where compensatory damages are substantial, and by clarifying that evidence of out-of-state, dissimilar conduct, or harm to nonparties cannot justify inflating a punitive award. For students, the case is a cornerstone in analyzing punitive damages: it supplies the controlling framework for excessiveness challenges, sets evidentiary boundaries for proving reprehensibility, and is frequently tested in Torts and Remedies to evaluate ratios, comparable penalties, and the scope of permissible punishment.