Kobza v. Tripp’s Empirical Analysis
2001
Citation profile
14 state decisions
How this case has been cited
Cited by 14 later decisions — most recently August 2023
14 state decisions
Later decisions citing this case, by decade. The current decade is in progress, and our corpus holds fewer opinions from the most recent years, so the latest bars are undercounted — not a real decline.
Relationships
Relies on 125 Wash. 2d 456 - Price v. Kitsap Transit · Castro v. Barry · 106 Wash. 2d 826 - Fisher Properties, Inc. v. Arden-Mayfair, Inc. · 123 Wash. 2d 854 - Rorvig v. Douglas · 88 Wash. 2d 756 - Berge v. Gorton
Most-quoted passages
The sentences later courts lift from this opinion, ranked by how many decisions quote each — the parts of the opinion doing the work. These counts are smaller than the citation total above because most of the 14 citing decisions cite the case generally; a passage count includes only decisions quoting that exact language verbatim.
“Any person having a valid subsisting interest in real property, and a right to possession thereof, may recover the same by action in the superior court of the proper county.”
1 later decision quote this exact passagee.g. Smale v. Noretep“Because a quiet title action is a claim for equitable relief, damages are ordinarily not allowed.”
1 later decision quote this exact passagee.g. Smale v. Noretep“An action to quiet title is equitable and designed to resolve competing claims of ownership.”
1 later decision quote this exact passagee.g. Smale v. Noretep
How this case has been treated — in progress
Whether each later court followed, distinguished, criticized, or overruled this decision. The treatment classification (task #35) runs highest-cited cases first and lights up here as it reaches this one.