Opinion · Supreme Court of the United States

Grupo Dataflux v. Atlas Global Group, L. P.

541 U.S. 567

Type
Opinion
Court
Supreme Court of the United States
Jurisdiction
Federal
Date
2004-05-17
Topic
general

How later courts describe this case

  • holding that changes in the composition of a partnership during litigation did not' confer jurisdiction on the lower courts
  • holding that district court must have had jurisdiction at time of removal, not merely at time of judgment
  • recognizing that under well-settled law, “the jurisdiction of the court depends upon the state of things at the time of the action brought”
  • holding that postfiling change in a plaintiff’s citizenship did not cure defect in diversity jurisdiction
  • holding that a party’s post-filing change in citizenship cannot cure a lack of diversity jurisdiction from the lawsuit’s outset
  • holding that a procedural defect in removal does not require dismissal or remand if there is no jurisdictional defect
  • recognizing that unauthorized removal under § 1441(a) results in a “statutory defect” rather than a “jurisdictional defect”
  • holding that the time-of-filing rule measures challenges to subject-matter jurisdiction “against the state of facts that existed at the time of filing” (emphasis added)

Citator

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