Allen v. Russian Federation

522 F. Supp. 2d 167, 2007 U.S. Dist. LEXIS 86164, 2007 WL 4145596
CourtDistrict Court, District of Columbia
DecidedNovember 26, 2007
DocketCivil Action 05-2077 (CKK)
StatusPublished
Cited by18 cases

This text of 522 F. Supp. 2d 167 (Allen v. Russian Federation) is published on Counsel Stack Legal Research, covering District Court, District of Columbia primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Allen v. Russian Federation, 522 F. Supp. 2d 167, 2007 U.S. Dist. LEXIS 86164, 2007 WL 4145596 (D.D.C. 2007).

Opinion

MEMORANDUM OPINION

COLLEEN KOLLAR-KOTELLY, District Judge.

Presently before the Court is an action brought by a group of investors who own or used to own an interest in a Russian company called Yukos. The investors claim that the Russian Federation, acting in combination with senior Russian government officials and several Russian energy companies (and several executives of those companies), expropriated Yukos beginning in 2003. The Defendants' allegedly levied illegal and confiscatory taxes on Yukos, forced a sham sale of Yukos’s most important asset, seized a majority of Yukos shares, intimidated and harassed Yukos executives, and used bankruptcy proceedings to paralyze Yukos’s non-Russian-based management team. These and other allegations contained throughout Plaintiffs’ 116-page, 424-paragraph Complaint tell a troubling story if proven true.

Notwithstanding the foregoing, this Court is one of limited jurisdiction. Defendants have brought four Motions to Dismiss arguing, inter alia, that this Court lacks jurisdiction to hear Plaintiffs’ claims. The Motions decry Plaintiffs’ decision to file a Complaint in this Court when the case involves the conduct of the Russian government, senior Russian government officials, Russian companies, and Russian citizens. After a thorough and dedicated review of the Parties’ lengthy submissions and the exhibits attached thereto, the record as a whole, applicable case law and statutory authority, the Court finds that it cannot reach the merits of Plaintiffs’ claims based on the doctrines of sovereign immunity and personal jurisdiction. Accordingly, the Court shall GRANT Defendants’ Motions to Dismiss for the reasons that follow.

I. BACKGROUND

The scope of the Parties’ submissions to the Court necessitates a thorough overview of the case. 1 The Court shall first provide an overview of the Parties, followed by a brief history of OAO NK Yukos Oil Company (“Yukos”), the company that *172 is alleged to have been expropriated by Defendants. The Court shall then examine the specific allegations made against each of the Defendants, who shall be divided into three “Defendant Groups” based on their factual and legal positions in the case.

A. Parties

The 43 Plaintiffs bringing this action are holders or former holders of Yukos American Depository Receipts (“ADRs”) purchased on the over-the-counter (“OTC”) market in the United States or the London Stock Exchange (collectively, “Plaintiffs”). 2 Am. Compl. ¶¶ 12-59. Plaintiffs are all United States citizens, with three exceptions. 3

Defendants fall into three “Defendant Groups.” The first Defendant Group consists of the Russian Federation (or “Russia”) and OAO Rosneftegaz (“Rosnefte-gaz”). Plaintiffs concede that Russia is a “foreign state” within the meaning of 28 U.S.C. § 1330 (incorporating the definition of “foreign state” included in the Foreign Sovereign Immunities Act, 28 U.S.C. § 1603(a)). See Am. Compl. ¶ 60. Rosnef-tegaz is a wholly-owned direct subsidiary of the Russian Federation. Id. ¶ 74.

The second Defendant Group consists of five senior Russian government officials sued in their individual capacities (collectively, “Government Defendants”). Id. ¶¶ 78-83. First, Viktor B. Khristenko (“Minister Khristenko”) is the Minister of Industry and Energy of the Russian Federation, a position he had held since March 2004. Id. ¶ 80. Minister Khristenko also served as First Deputy Prime Minister from May 2000 to March 2004. Id. He is also a Member of the Board of Directors of OAO Gazprom (“Gazprom”), a Defendant company described as part of the third Defendant Group below. Id. Second, Alexei Kudrin (“Minister Kudrin”) is the Minister of Finance of the Russian Federation. Id. ¶ 78. He is also a former director of Gazprom. Id. Third, Dmitry A. Medvedev (“Minister Medvedev”) is the First Deputy Prime Minister of the Russian Federation and was the Head of the Presidential Administration of the Russian Federation from October 2003 to November 2005. Id. ¶ 75. He is also Gazprom’s Chairman of the Board. Id. Fourth, Igor Sechin (“Minister Sechin”) is the Deputy Head of the Presidential Administration of Russia. Id. ¶ 82. He also serves as Chairman of the Board of Directors of OAO Rosneft Oil Company (“Rosneft”), a Defendant company described as part of the third Defendant Group below. Id. In February 2006, Minister Sechin was also appointed to the Board of Directors of Rosneftegaz. Id. Fifth, Igor K. Yusufov (“Minister Yusu-fov”) is a Special Representative of the President on International Energy Cooperation, a position he has held since July 2004. Id. ¶ 79. Minister Yusufov also previously served as Minister of Industry and Energy of the Russian Federation at times relevant to the instant Complaint. Id. He also is a Member of the Board of Directors of Gazprom, and previously served as Chairman of the Board at Rosneft. Id.

The third and final Defendant Group consists of five members, including two companies that are indirectly owned by the Russian Federation and three executives *173 of those companies (collectively, “Non-Government Defendants”). First, Gazprom (referenced above in relation to several of the Government Defendants) is a publicly traded joint stock company organized under the laws of the Russian Federation with its principal place of business in Moscow. Id. ¶ 61. The Russian Federation directly owns 38.373 percent of Gazprom’s shares through its Federal Agency for Management of Federal Property, 10.74 percent of Gazprom’s shares through Rosneftegaz, and .889 percent through a non-party company (totaling 100%). Id. Gazprom produces about 90 percent of Russian gas and is responsible for eight percent of Russia’s GDP. Id. ¶ 63. Gazprom is also a direct competitor of Yukos. Id. Second, Rosneft (referenced above in relation to several of the Government Defendants) is an oil and gas producing company. Id. ¶ 70. One share of Ros-neft’s stock is held by the Russian Federal Agency for Management of Federal Property, and the remainder is held by Rosnef-tegaz. Id. ¶ 70. Third, Alexei B. Miller (“Miller”) is the Chairman of the Management Committee of Gazprom, Deputy Chairman of the Board of Directors of Gazprom, and has previously served as Deputy Minister of Energy of the Russian Federation. Id. ¶ 76. Fourth, Sergey Bogdanchikov (“Bogdanchikov”) is the President of both Rosneft and Rosneftegaz and is a member of each company’s Board of Directors. Id. ¶ 81.

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Bluebook (online)
522 F. Supp. 2d 167, 2007 U.S. Dist. LEXIS 86164, 2007 WL 4145596, Counsel Stack Legal Research, https://law.counselstack.com/opinion/allen-v-russian-federation-dcd-2007.