In today’s case, the 7th U.S. Circuit Court of Appeals provides guidance on when a court may reduce attorney fees and so-called incentive pay in a suit for unsolicited faxes.The 7th Circuit considered whether the proposed attorney fees and incentive pay awards to the plaintiffs were properly reduced under the rule of Isby v. Bayh, 73 F.3d 1191 (7th Cir. 1991), where there was no real litigation and the case settled at mediation before an answer was filed and discovery was undertaken.In Camp Drug Store Inc. v. Cochran …