Edward Asner v. The Sag-Aftra Health Fund

CourtDistrict Court, C.D. California
DecidedAugust 30, 2021
Docket2:20-cv-10914
StatusUnknown

This text of Edward Asner v. The Sag-Aftra Health Fund (Edward Asner v. The Sag-Aftra Health Fund) is published on Counsel Stack Legal Research, covering District Court, C.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Edward Asner v. The Sag-Aftra Health Fund, (C.D. Cal. 2021).

Opinion

UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA CIVIL MINUTES — GENERAL ‘QO’ Case No. 2:20cv10914CAS(JEMx) Date August 30, 2021 Title EDWARD ASNER ET AL V. THE SAG-AFTRA HEALTH FUND ET AL

Present: The Honorable CHRISTINA A. SNYDER Catherine Jeang Laura Elias N/A Deputy Clerk Court Reporter / Recorder Tape No. Attorneys Present for Plaintiffs: Attorneys Present for Defendants: Emily Skaug Jani Rachelson Neville Johnson Evan Hudson-Plush Robert Kriner, Jr. Myron Rumeld Steven Schwartz Proceedings: DEFENDANTS’ MOTION TO DISMISS FIRST AMENDED COMPLAINT (Dkt. 45, filed April 30, 2021) I. INTRODUCTION On December 1, 2020, Edward Asner, Michael Bell, Raymond Harry Johnson, Sondra James Weil, David Jolliffe, Robert Clotworthy, Thomas Cook, Audrey Loggia, Deborah White, and Donna Lynn Leavy (collectively, “plaintiffs”) filed their initial class action complaint against defendants SAG-AFTRA Health Fund (the “SAG-AFTRA Health Plan” or “Plan”’), the former Board of Trustees of the Screen Actors Guild- Producers Health Plan (the “SAG Health Plan Board of Trustees’), the Board of Trustees of the SAG-AFTRA Health Fund (the “SAG-AFTRA Health Plan Board of Trustees”), and individually named trustees! of the two Boards (the “SAG Trustee Defendants” and

' The individually named trustees, who are sued in their individual capacities, are Daryl Anderson, Helayne Antler, Amy Aquino, Timothy Blake, Jim Bracchitta, John Carter Brown, Duncan Crabtree-Ireland, Barry Gordon, J. Keith Gorham, James Harrington, David Hartley-Margolin, Harry Isaacs, Robert W. Johnson, Sheldon Kasdan, Matthew Kimbrough, Lynne Lambert, Allan Linderman, Carol A. Lombardini, Stacy K. Marcus, Richard Masur, John T. McGuire, Diane P. Mirowski, Paul Muratore, Tracy Owen, Michael Pniewski, Ray Rodriguez, Marc Sandman, Shelby Scott, David Silberman, Sally Stevens, Gabriela Teissier, Lara Unger, Ned Vaughn, David Weissman, Russell Wetanson, David P. White, and Samuel P. Wolfson. Defendants Ann Calfas, Eryn Doherty, Gary Elliot, Mandy Fabian, Leigh French, Nicole Gustafson, Marla Johnson,

UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA CIVIL MINUTES —- GENERAL ‘O’ Case No. 2:20cv10914CAS(JEMx) Date August 30, 2021 Title EDWARD ASNER ET AL V. THE SAG-AFTRA HEALTH FUND ET AL

“SAG-AFTRA Trustee Defendants,” collectively, the “Trustees”). Dkt. 1 (“Compl.”). Plaintiffs’ initial complaint asserted claims for: (1) engaging in a prohibited transaction in violation of the Employee Retirement Income Security Act (“ERISA”), against the SAG Health Plan Board of Trustees and the SAG Trustee Defendants; (2) failing to disclose information material to plan participants in violation of ERISA, against the SAG-AFTRA Health Plan Board of Trustees and the SAG-AFTRA Trustee Defendants; (3) breach of fiduciary duty by a co-fiduciary in violation of ERISA, against the SAG Health Plan Board of Trustees and the SAG Trustee Defendants: and (4) breach of fiduciary duty by a co-fiduciary in violation of ERISA, against the SAG-AFTRA Health Plan Board of Trustees and the SAG-AFTRA Trustee Defendants. Compl. 125-149. On February 16, 2021, the SAG-AFTRA Health Plan, the SAG Health Plan Board of Trustees, the SAG-AFTRA Health Plan Board of Trustees, the SAG Trustees, and the SAG-AFTRA Trustees (collectively, “defendants”) filed a motion to dismiss plaintiffs’ initial complaint. Dkt. 40. On March 23, 2021, plaintiffs and defendants (collectively, the “parties”), except for defendant Bob Kaliban,? agreed to a stipulation allowing plaintiffs to file an amended complaint. Dkt. 41. On March 26, 2021, plaintiffs filed the operative first amended complaint. Dkt. 43 (“FAC”). The FAC asserts four breach of ERISA-imposed fiduciary duty claims. FAC 4 1. Count I is for breach of fiduciary duty in violation of ERISA § 404(a)(1)(A)-(D) in connection with the January 1, 2017 merger of the SAG Health Plan with the AFTRA Health Plan. Plaintiffs bring Count I against the SAG Health Plan Board of Trustees and the SAG Trustee Defendants. Id. 160-167. Count II is for breach of fiduciary duty in violation of ERISA § 404(a)(1)(A)-(D) in connection with the August 2020 reductions to benefits offered by the merged SAG-AFTRA Health Plan and in connection with the failure to disclose the Plan’s funding shortfall prior to the benefit reductions. Id. Jj 168- 177. Plaintiffs bring Count II against the SAG-AFTRA Health Plan Board of Trustees and the SAG-AFTRA Trustee Defendants. Id. Count III is for breach of fiduciary duty by a co-fiduciary in violation of ERISA § 1105(a) against the SAG Health Plan Board of

Bob Kaliban, D.W. Moffett, Shelley Landgraf, Alan H. Raphael, John E. Rhone, John H. Sucke, and Kim Sykes have been dismissed from the action without prejudice pursuant to a Tolling and Dismissal Agreement between the parties. See FAC § 161, 169, 179, 187. ? As noted previously, Mr. Kaliban was dismissed from this action without prejudice. See FAC 4 161, 169, 179, 187.

UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA CIVIL MINUTES —- GENERAL ‘O’ Case No. 2:20cv10914CAS(JEMx) Date August 30, 2021 Title EDWARD ASNER ET AL V. THE SAG-AFTRA HEALTH FUND ET AL

Trustees and the SAG Trustee Defendants in connection with the ERISA violations alleged in Count I. Id. §] 178-185. Count IV is for breach of fiduciary duty by a co- fiduciary in violation of ERISA § 1105(a) against the SAG-AFTRA Health Plan Board of Trustees and the SAG-AFTRA Trustee Defendants in connection with the ERISA violations alleged in Count II? Id. fj 186-191. Plaintiffs bring Counts I and III on behalf of themselves and other similarly situated participants (“Counts I and III Class”) in the SAG Health Plan at the time of the merger of the SAG Health Plan with the AFTRA Health Fund (“AFTRA Health Plan”), effective January 1, 2017 (“Health Plans Merger”). Id. §] 137-148. Plaintiffs bring Counts II and IV on behalf of themselves and other similarly situated participants (“Counts II and IV Class”) of the resulting, merged SAG-AFTRA Health Plan for post- merger conduct. Id. | 149-159. On April 30, 2021, defendants moved to dismiss the FAC (dkt. 45) and filed a memorandum of law in support of their motion (dkt. 46 (“MTD”)). Defendants also filed a request for judicial notice of six exhibits. Dkt. 48 (“Defs. RJN”). On June 1, 2021, plaintiffs filed their opposition to defendants’ motion to dismiss. Dkt. 50 (“Opp.”). Plaintiffs requested judicial notice of five exhibits. Dkt. 53 (“Plfs. RJN”). On June 22, 2021, defendants filed their reply brief. Dkt. 55 (“Reply”). The Court held a hearing on defendants’ motion to dismiss on August 30, 2021. Having carefully considered the parties’ arguments and submissions, the Court finds and concludes as follows.

3 At oral argument, counsel for plaintiffs clarified some of the intended distinctions between the claims for breach of fiduciary duty (Counts I and II) and breach of co- fiduciary duty (Counts IJ and IV). For Count III, the breach of co-fiduciary duty claim includes certain SAG Trustee Defendants’ alleged failure to take any measures to correct the misleading communications alleged in Count I. For Count IV, the breach of co- fiduciary duty claim includes certain SAG-AFTRA Trustee Defendants’ alleged failure to take any measures to correct the failure of the trustees who directly participated in the Union’s collective bargaining processes to disclose the Plan’s funding shortfall. Finally, for Count II, all SAG-AFTRA Trustee Defendants are allegedly responsible for the implementation of the Benefit Amendments.

UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA CIVIL MINUTES —- GENERAL ‘O’ Case No. 2:20cv10914CAS(JEMx) Date August 30, 2021 Title EDWARD ASNER ET AL V. THE SAG-AFTRA HEALTH FUND ET AL

II.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Shaw v. Delta Air Lines, Inc.
463 U.S. 85 (Supreme Court, 1983)
Lujan v. Defenders of Wildlife
504 U.S. 555 (Supreme Court, 1992)
Curtiss-Wright Corp. v. Schoonejongen
514 U.S. 73 (Supreme Court, 1995)
Varity Corp. v. Howe
516 U.S. 489 (Supreme Court, 1996)
LOCKHEED CORP. Et Al. v. SPINK
517 U.S. 882 (Supreme Court, 1996)
Pegram v. Herdrich
530 U.S. 211 (Supreme Court, 2000)
Beck v. Pace International Union
551 U.S. 96 (Supreme Court, 2007)
Bell Atlantic Corp. v. Twombly
550 U.S. 544 (Supreme Court, 2007)
Ashcroft v. Iqbal
556 U.S. 662 (Supreme Court, 2009)
Conservation Force v. Salazar
646 F.3d 1240 (Ninth Circuit, 2011)
Malia v. General Electric Company
23 F.3d 828 (Third Circuit, 1994)
Waller v. Blue Cross of California
32 F.3d 1337 (Ninth Circuit, 1994)

Cite This Page — Counsel Stack

Bluebook (online)
Edward Asner v. The Sag-Aftra Health Fund, Counsel Stack Legal Research, https://law.counselstack.com/opinion/edward-asner-v-the-sag-aftra-health-fund-cacd-2021.