Goodeill v. Madison Real Estate, 191 Wn. App 88 (2015)
Nov 03, 2015OUTCOME: The landlord was liable to the tenant for statutory remedies provided by RCW 59.18.280.
When a landlord relied on "estimated" charges to delay the itemized statement and refund of tenants' deposit monies beyond the timelines established under RCW 59.18.280, the landlord could not satisfy ... an narrow exception when "circumstances beyond the landlord's control" prevented a landlord from providing a full, specific, and timely statement and refund.
