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Portrait of Hon. Andrea K. Bouressa

Hon. Andrea K. Bouressa

Judge · Seat 1A

Texas Business Court · First Business Court Division (Dallas)

Biography

Andrea Bouressa was appointed Judge in the First Division of the Texas Business Court by Governor Greg Abbott on September 1, 2024. Prior to that, Governor Abbott appointed her to serve as the first Judge of the 471st Judicial District Court in Collin County, created September 1, 2019. She was subsequently elected to that bench and served a two-year term as Local Administrative District Judge. On the district court bench, she presided over thousands of civil disputes and resolved as many as 200 cases a month. In 2022, the Texas Aggie Bar Association named Judge Bouressa their Rising Aggie Lawyer. She is an active member of TABA and previously served as a Board Member and Treasurer for that organization. She is also a member of the Collin County Bar Association and the Curt B. Henderson Inn of Court, as well as the Collin County Women Lawyers’ Association which honored her with their 2023 Outstanding Jurist award. In private practice, she focused on business and commercial litigation and state court appeals. Judge Bouressa is a third-generation Aggie, with a Bachelor of Science in Sociology from Texas A&M University. She also holds a Master of Science in Sociology from the University of North Texas, and a Juris Doctor from Southern Methodist University Dedman School of Law. She and her husband of more than 20 years live in Collin County and have two daughters.

Source: txcourts.gov

Opinions by Judge Bouressa (1)

Tortious Interference ×
2026 Tex. Bus. 68 Summary Judgment September 28, 2026

Direct Versus Consequential Damages: Proximate Cause Challenge Reaches Only Specifically Pleaded Special Damages at Summary Judgment

The Business Court granted Boeing's motion for partial summary judgment, dismissing all of SWAPA's specifically pleaded consequential damages—lost wages, lost dues, and attorneys' fees—on grounds that proximate causation could not be established as a matter of law. The court held that while proximate cause applies to consequential damages, it does not apply to direct damages, which need not be pleaded with specificity and therefore remain beyond the reach of Boeing's causation challenge.

Mem. Op. Summary Judgment Aviation Proximate Cause Consequential Damages Rule 56 Opinion PDF ↓