Yocupicio v. PAE Grp.

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Plaintiff filed suit against Arch based upon allegations of numerous violations by Arch of the California Labor Code. On appeal, plaintiff challenged the denial of her motion to remand this matter to the Superior Court after Arch removed it pursuant to the provisions of the Class Action Fairness Act of 2005 (CAFA), 28 U.S.C. 1446, 1453(b). The court reversed the district court's determination that it had diversity jurisdiction over the action and remanded. The court held that where a plaintiff files an action containing class claims as well as non-class claims, and the class claims do not meet the CAFA amount-in-controversy requirement while the nonclass claims, standing alone, do not meet diversity of citizenship jurisdiction requirements, the amount involved in the non-class claims cannot be used to satisfy the CAFA jurisdictional amount, and the CAFA diversity provisions cannot be invoked to give the district court jurisdiction over the non-class claims. View "Yocupicio v. PAE Grp." on Justia Law