In Re Joint East. & South. Dist. Asbestos Litig.

237 F. Supp. 2d 297
CourtDistrict Court, S.D. New York
DecidedDecember 27, 2002
Docket82 B 11656(BRL) through 82 B 11676(BRL). No. 90 CV 3973(JBW)
StatusPublished
Cited by7 cases

This text of 237 F. Supp. 2d 297 (In Re Joint East. & South. Dist. Asbestos Litig.) 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
In Re Joint East. & South. Dist. Asbestos Litig., 237 F. Supp. 2d 297 (S.D.N.Y. 2002).

Opinion

237 F.Supp.2d 297 (2002)

In re JOINT EASTERN AND SOUTHERN DISTRICTS ASBESTOS LITIGATION.
In re Johns-Manville Corporation, et al., Debtors.
Bernadine K. Findley et al., on behalf of themselves, and all others similarly situated as beneficiaries of the Manville Personal Injury Settlement Trust, Plaintiffs,
v.
Trustees of the Manville Personal Injury Settlement Trust, not individually but solely in their capacities as Trustees, Defendants.

Nos. 82 B 11656(BRL) through 82 B 11676(BRL). No. 90 CV 3973(JBW).

United States District Court, E. & S.D. New York. United States Bankruptcy Court, S.D. New York.

December 27, 2002.

*298 Claims Resolution Management by David T. Austern, Fairfax, VA, for Manville Trust Trustees.

Caplin & Drysdale by Elihu Inselbuch, New York, NY, Ness Motley by Joe Rice, Esq., Mt. Pleasant, SC, for Selected Counsel for the Beneficiaries.

Paul, Weiss, Rifkind, Wharton & Garrison by Leslie Gordon Fagen, Jeffrey Nagel, New York, NY, for Legal Representative of Future Claimants.

RAND Corporation by Mark Peterson, Santa Monica, CA, for Special Advisor to the Trust.

Weitz & Luxenberg, P.C. by Perry Weitz, C. Sanders McNew, New York, NY, Levy Phillips & Konigsberg, LLP by Stanley J. Levy, Esq., New York, NY, Law Offices of Peter T. Nicholl by Timothy Hogan, Baltimore, MD, Goldberg, Persky, Jennings & While by Mark Meyer, Pittsburgh, PA, for Plaintiffs.

Kazan, McClain, Edises, Abrams, Fernandez, Lyons & Farrise by Steven Kazan, Oakland, CA, for Plaintiffs and Unofficial Committee of Select Asbestos Claimants.

*299 Faricy & Roen, P.A. by James R. Harries, Minneapolis, MN, Law Offices of James J. Higgins by James J. Higgins, Florham Park, NJ, for MacArthur Subclass.

Debevoise & Plimpton by Roger E. Podesta, New York, NY, for Owens Corning and Co-defendant Subclass.

Pepper Hamilton, LLP by Francis J. Lawall, Philadelphia, PA, for Distributors Subclass.

Schiff, Hardin & Waite by Robert H. Riley, Chicago, IL, for Owens Illinois.

Goldfein & Hosmer by John A. Turlick, Philadelphia, PA, for Garlock Sealing Technologies LLC.

Orrick, Herrington & Sutcliff, LLP by James Lamont Stengel, New York, NY, Mayer, Brown & Platt by Michael O. Ware, New York, NY, McDermott, Will & Emery by Donald Pugliese, New York, NY, Law Offices of Peter G. Angelos by Paul M. Matheny, Towson, MD, for Interested Persons.

MEMORANDUM & ORDER

WEINSTEIN, Senior District Judge and BURTON R. LIFLAND, Bankruptcy Judge.

                                 Table of Contents
    I. Introduction ............................................... 300
   II. Facts ...................................................... 301
       A.  History ................................................ 301
           1.  Asbestos Litigation Crisis.......................... 301
           2.  Manville Trust ..................................... 302
       B.  Post-1995 Developments ................................. 305
           1.  Proliferation of Asbestos Litigation and Claims .... 305
           2.  Functionally Unimpaired Claimants .................. 306
               a. Diagnosing Asbestos-Related Disease ............. 308
               b. Projecting Future Claims ........................ 310
               c. Compensation Ratios ............................. 312
           3.  Manville Trust ..................................... 313
       C.  Trust Payments to Date.................................. 315
  III. Law ........................................................ 315
       A.  Power to Amend the Trust Distribution Process .......... 315
       B.  Claims by Functionally Unimpaired Claimants ............ 317
   IV. Application ................................................ 319
       A.  Amendment of the Manville Process ...................... 319
           1.  Changes in the 2002 Trust Distribution Process...... 319
               a. Scheduled Disease Categories and Values ......... 320
               b. Evidentiary Requirements ........................ 324
               c. Pro Rata Share .................................. 324
               d. Other Changes ................................... 325
               e. Transition Provisions ........................... 326
           2.  Other Measures ..................................... 326
       B.  Criticisms of the 2002 Trust Distribution Process ...... 326
       C.  Future ................................................. 331
           1. Required Research on National Medical Questions ..... 331
           2. Alternative Solutions ............................... 335
   V. Conclusion .................................................. 336

*300 I. Introduction

The district court for the Eastern District of New York and the bankruptcy court for the Southern District of New York (the "courts") write to give their imprimatur to the amended Trust Distribution Process ("2002 TDP") of the Manville Personal Injury Settlement Trust ("Manville Trust" or the "Trust").

It is not clear that the courts have the authority to approve or deny approval of these changes as agreed on by the Trust, the Selected Counsel for the Beneficiaries (the "SCB"), and the Legal Representative of Future Claimants (the "Legal Representative") after consultation with the Special Advisor to the Trust (the "Special Advisor") and other interested parties. It is apparent nonetheless that the courts have a continuing obligation to ensure that the Trust's terms and goals are properly effectuated. See In re Joint E. & S. Dists. Asbestos Litig., 120 B.R. 648, 652 (E. & S.D.N.Y.1990) ("continuing responsibility to implement the terms of the Manville reorganization and to protect the interests of the beneficiaries of the Trust"); Second Amended and Restated Plan of Reorganization for Johns-Manville Corporation Art. X (Nov. 28, 1988) (retention of jurisdiction); Trust Agreements §§ 6.12, 6.13 (same).

Periodic required reports submitted by the Trust are followed closely by the courts. They reveal the Trust's continuing problems. It is appropriate therefore for the courts to evaluate and approve the changes embodied in the 2002 TDP. There is thus currently no need to finally fix the courts' continuing authority to require future changes in the Trust's distribution process.

The asbestos problem and litigation crisis is "a festering wound on our society that is going to continue for some time." Transcript of Proceedings on September 4, 2002, at 35 ("Transcript Sept. 4, 2002"). Despite frequent expressions by the courts during the long course of Johns-Manville Corp. and Manville Trust litigation of their hope that some final resolution would be reached, periodic reevaluation has been necessary in order to ensure that administration of trust funds remains effective and equitable in light of changing conditions.

Amending the Manville Trust Distribution Process ("TDP") has been compelled by major developments in asbestos litigation. There has been a dramatic increase in the total and rate of filing of asbestos lawsuits and claims. Particularly noticeable is the involvement of more peripheral players — plaintiffs who are asymptomatic, those less seriously injured, and defendants who were not major manufacturers or distributors of asbestos.

In the last several years it became evident that the Manville Trust was threatened by a much higher than projected number of claims.

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