Brown v. Amchem Products, Inc.

CourtDistrict Court, S.D. New York
DecidedMarch 10, 2020
Docket1:19-cv-05844
StatusUnknown

This text of Brown v. Amchem Products, Inc. (Brown v. Amchem Products, Inc.) is published on Counsel Stack Legal Research, covering District Court, S.D. New York primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Brown v. Amchem Products, Inc., (S.D.N.Y. 2020).

Opinion

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK FREDERICK G. BROWN and DIANA BROWN, Plaintiffs, ORDER V. 19 Civ. 5844 (PGG) AMCHEM PRODUCTS, INC., et al., Defendants.

PAUL G. GARDEPHE, U.S.D.J.: Defendant Cleaver-Brooks, Inc. removed this asbestos liability action from New York state court under the federal officer removal statute, 28 U.S.C. § 1442(a)(1). At the time of removal, the case had been pending in state court for approximately two years. For the reasons stated below, this Court concludes that removal was untimely under 28 U.S.C. § 1446(b)(3). Accordingly, this case will be remanded to state court. BACKGROUND On July 7, 2017, Frederick Brown and his wife Diana Brown filed a lawsuit against Cleaver-Brooks, Inc. and twenty-seven other defendants in Supreme Court of the State of New York, New York County. (Notice of Removal (Dkt. No. 2) § 1; Cmplt. (Dkt. No. 2-1); Pltf. Interrog. Resp. (Dkt. No. 12-3) at 4)! Cleaver-Brooks was served with the Complaint on July 26, 2017, and with an Amended Complaint on October 6, 2017. (Notice of Removal (Dkt. No. 2) 2-3) Plaintiffs assert, inter alia, products liability and negligence claims for injuries that Mr. Brown allegedly suffered from exposure to Defendants’ asbestos-containing products. (Pltf.

' Citations to page numbers of docketed materials correspond to the pagination generated by this District’s Electronic Case Files (“ECF”) system.

Br. (Dkt. No. 12) at 5; Def. Opp. (Dkt. No. 17) § 4) Neither the Complaint nor the Amended Complaint names any specific Cleaver-Brooks product to which Mr. Brown was exposed. (Notice of Removal (Dkt. No. 2) § 4) Cleaver-Brooks filed an answer, and discovery ensued.” (Id. 5-6) On October 19, 2017, Plaintiffs served Cleaver-Brooks with responses to interrogatories (Notice of Removal (Dkt. No. 2) § 6) stating that Mr. Brown had been exposed to asbestos as a sheet metal worker in the Brooklyn Navy Yard, where he worked on the U.S.S. Constellation and other ships. Mr. Brown summarized his exposure to asbestos during this period as follows: I was exposed to asbestos throughout my time as a sheet metal worker from 1954-1955 and from 1958 through 1962.... During my time as a sheet metal worker . . . , | spent approximately more than one full year at the Brooklyn Navy Yards. While at the Brooklyn Navy Yards I worked as a civilian aboard the U.S.S. Constellation for approximately 6 months as well as other ships and destroyers in dry dock there. While performing my sheet metal duties, I was exposed to asbestos from the work I did as well as from the work of tradesmen around and in close proximity to me who were cleaning, maintaining, removing and installing asbestos insulation on boilers, pumps, valves, pump motors, generators, pipes, pipe covering, turbines, compressors, distilling plants, refrigerating units and blowers on the U.S.S. Constellation, as well as other ships dry docked at the Brooklyn Navy Yards.

(Pitf. Interrog. Resp. (Dkt. No. 12-3) at 12) In an exhibit annexed to Plaintiffs’ interrogatory responses, Plaintiffs state that Mr. Brown worked in the Brooklyn Navy Yards and aboard the U.S.S. Constellation around “1959 - 1961/1962.” (Id. at 28) In the interrogatory responses, Mr. Brown also states that he worked as a sheet metal worker “at numerous residential and commercial sites throughout New York

2 Cleaver-Brooks answered on August 24, 2017, before the Amended Complaint was served. There is no indication in the record that an amended answer was filed. (Notice of Removal (DKt. No. 2) 7 5)

City” from “1954 to 1955 and again from 1958 - 1962.” (Id. at 12) “While present at these numerous residential and commercial sites, [Mr. Brown] was exposed to... asbestos insulation on... boilers, pumps, valves, pump motors, generators, pipes, pipe covering and blowers.” (Id. at 12-13) Throughout his career, Mr. Brown was “exposed to asbestos products and equipment that contained asbestos, made and sold by a large number of companies.” Mr. Brown could not “possibly remember all of them.” (Id. at 13) However, Mr. Brown “specifically recall[ed] being exposed to asbestos-containing products” of certain Defendants, including boilers manufactured by Cleaver-Brooks. (Id. at 14) Mr. Brown’s deposition was taken from December 19 to December 21, 2017. (Notice of Removal (Dkt. No. 2) § 9) Counsel for Cleaver-Brooks appeared for the deposition, but did not ask any questions. (PItf. Br. (Dkt. No. 12) at 5) At his deposition, Mr. Brown testified that he had spent about one year working on the U.S.S. Constellation as a sheet metal mechanic in about 1960. (Brown Dep. Tr. (Dkt. No. 1-5) at 78:20-22, 79:8-11, 91:25-92:18, 95:15-24) Mr. Brown did not testify specifically about any Cleaver-Brooks products or his exposure to them. (Pltf. Br. (Dkt. No. 12) at 5; Notice of Removal (Dkt. No. 2) § 10; May 22, 2019 email (Dkt. No. 1-7) at 2) On May 22, 2019, in connection with settlement negotiations with defense counsel, Plaintiffs’ counsel mentioned that there was evidence that the U.S.S. Constellation was outfitted with Cleaver-Brooks “equipment.” (May 22, 2019 email (Dkt. No. 1-7) at 2) Plaintiffs’ counsel stated that [Mr.] Brown testified that he worked at the Brooklyn Navy Yard on board the USS Constellation in or about 1960/61-1962. He claimed exposure from various types of equipment on board the ship. Ship records demonstrate the presence of Cleaver Brooks equipment on board. I have just asked our Naval records librarian

to provide me with the documents referencing Cleaver Brooks and will share them with you when I receive his reply. (Id.) The next day, Plaintiffs’ counsel produced “ship records, demonstrating the existence of a Cleaver-Brooks brand distilling plant onboard the USS Constellation.” (Def. Br. (Dkt. No. 17) at 6) The records do not mention Cleaver-Brooks “boilers.” (Notice of Removal (Dkt. No. 2) § 15) On June 21, 2019, Cleaver-Brooks removed this action pursuant to the federal officer removal statute, 28 U.S.C. § 1442(a)(1). (Notice of Removal (Dkt. No. 2)) Cleaver-Brooks’ removal papers include affidavits stating that Clever-Brooks’ “products were designed and manufactured pursuant to precise contracts and specifications approved by the Navy.” (Id. § 19) Cleaver-Brooks argues that its removal is timely because it occurred within 30 days of the parties’ May 22 and 23, 2019 correspondence, in which Plaintiffs disclose that the U.S.S. Constellation was outfitted with a Cleaver- Brooks distilling plant. (Id. 14-16) Plaintiffs have moved to remand, arguing that Cleaver-Brooks’ removal is untimely under 28 U.S.C. § 1446(b)(3), because Cleaver-Brooks removed the case more than 30 days after Plaintiffs served their October 2017 interrogatory responses. (Dkt. Nos. 11, 12) DISCUSSION I. LEGAL STANDARDS A. Federal Officer Removal “The federal officer removal statute allows suits against federal officers to be removed despite the nonfederal cast of the complaint... .” Cohen v. Postal Holdings, LLC, 873 F.3d 394, 397 n.3 (2d Cir. 2017). “The federal officer removal statute provides that any action

brought against an ‘officer (or any person acting under that officer) of the United States or of any agency thereof, in an official or individual capacity, for or relating to any act under color of such office,’ may be removed to federal court by the defendant.” Cuomo v. Crane Co.,

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Brown v. Amchem Products, Inc., Counsel Stack Legal Research, https://law.counselstack.com/opinion/brown-v-amchem-products-inc-nysd-2020.