Justia Civil Procedure Opinion Summaries

Articles Posted in U.S. 10th Circuit Court of Appeals
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J. Hoyt Stephenson incorporated National Financial Systems Management, Inc. (NFSM) in Utah. The same day, the NFSM Employee Stock Ownership Plan was created. The Plan has always owned 100% of NFSM’s stock. Stephenson was one of the Plan’s trustees. In June 2006, Stephenson, along with his wife and children, moved from Utah to Wyoming, and as a result, Stephenson became a Wyoming citizen. About a year later, Stephenson sold one of his companies, National Financial Systems, Inc. (NFS) to NFSM. Then he sold another one, Metronomics Inc. to NFSM. In June 2009, Stephenson and his family went back to Utah. The issue before the Tenth Circuit in this case centered on whether Stephenson became a Utah citizen when he moved back. Brent Middleton, the Stock Plan's trustee, and several others (all Utah citizens), brought several federal-law claims Stephenson in the federal district court. Stephenson fought back with state-law counterclaims and a third-party complaint asserting state-law claims against multiple third-party defendants. The district court dismissed those counterclaims and third-party claims, concluding that it lacked diversity jurisdiction to hear them because Stephenson also was from Utah. The Tenth Circuit concluded that the district court did not clearly err in finding that Stephenson was a Utah citizen. View "Middleton, et al v. Stephenson, et al" on Justia Law

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In June 2012, the United States District Court for the District of Utah dismissed the claims of J. Hoyt Stephenson (a man the district found to be a Utah citizen), for lack of diversity jurisdiction. Less than three months later, Stephenson assigned his interests in various stock and real property to a new company of his creation, National Fitness Holdings, Inc., a Wyoming corporation of which Stephenson was the sole director, officer and shareholder. Four days later, National Fitness sued Grand View Corporate Centre, LLC in federal district court. The district court once again dismissed for lack of subject-matter jurisdiction, this time finding that Stephenson had impermissibly made the assignments to manufacture diversity jurisdiction. Upon review of the appeal of that decision, the Tenth Circuit concluded the district court did not err in finding it lacked jurisdiction. Accordingly, the Court affirmed the district court's decision. View "National Fitness Holdings v. Grandview Corporate Center, et al" on Justia Law

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Judy Knight appealed the dismissal of her lawsuit against Mooring Capital Fund. “Most of [the Tenth Circuit’s] reasons for affirmance are routine.” But the Court took the opportunity of this case to comment on Knight’s federal Racketeer Influenced and Corrupt Organizations Act (RICO) claims based on alleged misconduct in a prior litigation. With regard to her RICO claim, Knight argued that defendants made misrepresentations to the district court through pleadings and testimony that increased the cost of litigating her prior case, and caused the district court to rule against her. She alleged that that activity violated wire-fraud and mail-fraud statutes, thereby constituting a pattern of racketeering in violation of RICO. Because Knight did not identify any arguments she would have made regarding few and costs had it not been for defendants’ fraud, because she did not offer any specific explanation if how defendants’ litigation misconduct affected her ability to litigate he issues in the prior litigation, and because Knight did not allege there was evidence of misconduct that was unavailable while that prior litigation was pending, the Tenth Circuit affirmed the district court’s dismissal on this RICO claim too. View "Knight, et al v. Mooring Capital Fund LLC, et al" on Justia Law

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Denver police arrested Marvin Booker on a warrant for failure to appear at a hearing regarding a drug charge. During booking, Booker died while in custody after officers restrained him in response to alleged insubordination. Several officers pinned Booker face-down to the ground, one placed him in a chokehold, and another tased him. The officers sought medical help for Booker, but he could not be revived. Booker’s estate sued Deputies Faun Gomez, James Grimes, Kyle Sharp, Kenneth Robinette, and Sergeant Carrie Rodriguez, alleging they used excessive force and failed to provide Booker with immediate medical care. Defendants moved for summary judgment on qualified immunity grounds. The district court denied their motion because disputed facts precluded summary judgment. The Defendants appealed, but finding no reversible error, the Tenth Circuit affirmed. View "Estate of Marvin L. Booker, et al v. Gomez, et al" on Justia Law