A property owner conveyed his home "to my niece for life, then to my nephew if he survives my niece." The niece moved into the home and lived there for five years before deciding to rent out the property to a tenant, explaining that she needed the income. The tenant caused extensive damage to the home during their tenure. The nephew filed an action asserting that the niece violated her role as a life tenant. Based on property law principles regarding life estates, what is the strongest basis for the nephew's claim?
The niece's decision to rent out the property ended her right to continue holding the life estate.
The niece violated her responsibilities as a life tenant by permitting damage to the property that could harm the future interest.
The tenant’s conduct cannot be challenged since a life tenant has full rights to the property during their lifetime.
The nephew has a present interest in the property and may intervene against a tenant who damages it.
The correct answer highlights the doctrine of waste, a key principle in life estates. Life tenants must preserve the property for future interest holders and avoid actions such as voluntary waste (intentional damage) or permissive waste (failure to reasonably maintain the property). By allowing a tenant to cause significant damage, the niece breached her responsibilities under her life estate. The nephew, as a contingent remainderman, can assert this breach to protect his future interest.
Other options, though flawed, may sound plausible to test the student's understanding. For example, suggesting the nephew has a present interest reflects a misunderstanding of future interests and their timing. Similarly, renting the property does not terminate the life estate; life tenants have rights to possession and income generation. Lastly, the claim that tenant conduct cannot be challenged misstates the limits of life tenants, who are bound by the principles of waste to protect the property.
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Multistate Bar Examination
Real Property
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