Federal diversity jurisdiction provides a neutral forum for litigants from different states, preventing state court bias against out-of-state defendants. But just as defendants often prefer their case be venued in federal court, plaintiffs often prefer to stay in their home state court. Enter the fraudulent joinder, where the plaintiff attempts to avoid federal jurisdiction by falsely adding non-diverse parties to destroy diversity. How do courts decide whether parties have been named in good faith or maliciously joined to defeat diversity? The SDNY recently provided guidance on this issue following an allegation of fraudulent joinder, which sheds light on how courts maintain the integrity of federal diversity jurisdiction.
THE CASE: Stassa v. Pyramid Mgmt. Grp., LLC, No. 7:23-CV-01447 (NSR), 2024 WL 449367 (S.D.N.Y. Feb. 5, 2024)
In Stassa, the plaintiff filed a negligence lawsuit in the New York Supreme Court, Orange County, against Pyramid Management Group, LLC, Crystal Run Newco, LLC, and Target Corporation. The plaintiff alleged a slip-and-fall in a Target store caused by water leaking from the ceiling. Although Pyramid and Crystal Run, like the plaintiff, were New York residents, the defendants removed the case to federal court, claiming fraudulent joinder of Pyramid and Crystal Run to defeat diversity jurisdiction.
To establish fraudulent joinder, the court required the defendants to show by clear and convincing evidence that there was no possibility the plaintiff could state a claim against Pyramid and Crystal Run in state court. In conducting its analysis, the court noted that (a) it is the defendant’s burden to prove fraudulent joinder, (b) all factual issues must resolved in favor of the plaintiff, and (c) if there is any possibility, however slim, that the complaint could survive a motion to dismiss in state court, the case must be remanded.
In this case, the source of the leak was undetermined, and the lease agreement between Target and Crystal Run was unclear about which company was responsible for roof maintenance, leaving open the possibility of liability for either party. Given this ambiguity, the court found there was a potential set of facts by which the plaintiff could recover from Crystal Run. Consequently, the defendants did not meet their burden of proving fraudulent joinder, and the court granted the plaintiff’s motion to remand the case to state court.
Takeaway
The resolution of a fraudulent joinder claim is highly fact-intensive. Plaintiffs seeking to avoid removal should include specific allegations against each defendant to improve their odds of defeating a fraudulently joined claim. Defendants, on the other hand, must marshal clear and convincing evidence to prove fraudulent joinder and recognize that ambiguities or unresolved questions usually favor the plaintiff and result in remand to state court.