Opinion · Supreme Court of the United States

Healy v. Ratta

Healy v. Ratta, 292 U.S. 263 (1934)

Type
Opinion
Court
Supreme Court of the United States
Jurisdiction
Federal
Date
1934-04-30
Topic
general

How later courts describe this case

  • stating that “[t]he controversy here is that defined by the pleadings, and the matter in controversy does not embrace more than the right asserted”
  • noting that the "policy of the [diversity] statute calls for its strict construction”
  • refusing to consider the collateral effects of the judgment on other claims or other plaintiffs in determining the jurisdictional amount
  • stating that “the collateral effect of the decree, by virtue of stare decisis, upon other and distinct controversies may not be considered in ascertaining whether the jurisdictional amount is involved, even though their decision turns on the same question of law”
  • finding that any “collateral effect” of a judgment “upon other and distinct controversies, may not be considered in ascertaining whether the jurisdictional amount is involved, even though their decision turns on the same question of law”
  • determining that the tax plaintiff would be required to pay — i.e., the funds to which plaintiff asserted a right — was the matter in controversy in a suit to enjoin imposition of a license tax, not the right to do business in the state
  • “Due regard for the rightful independence of state governments ... requires that [federal courts] scrupulously confine their own jurisdiction to the precise limits which the statute has defined”
  • "[That] which should actuate federal courts, requires that they scrupulously confine their own jurisdiction to the precise limits which [a federal] statute has defined."

Citator

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Cited by
508 opinions

Headnotes

  1. Federal Courts & Jurisdiction — Federal Question Jurisdiction In determining whether the jurisdictional amount is satisfied, a federal court may not consider the collateral effect of its decree, by virtue of stare decisis, upon other and distinct controversies with other officers, even though their decision might turn on the same question of law. 292 U.S. at 266
  2. Federal Courts & Jurisdiction — Amount in Controversy — Injunctions Against State Tax Enforcement Where a federal court injunction is sought against enforcement of an annual tax, and the issue is confined to the right of the State to collect the tax rather than to the method of its enforcement, the matter in controversy is the amount of the tax due or demanded, and does not include the penalty or loss of business that payment of the tax would avoid. 292 U.S. at 267
  3. Federal Courts & Jurisdiction — Amount in Controversy — Equity Jurisdiction The inability of a taxpayer to litigate the validity of a tax without risk of irreparable injury to his business, which is ground for invoking the equitable jurisdiction of a federal court, affords no measure of the value of the matter in controversy; the value of the disputed tax, not that of the penalty or loss which payment would avoid, determines the jurisdiction. 292 U.S. at 268-269
  4. Federal Courts & Jurisdiction — Jurisdiction — Statutory Construction The policy of Congress to narrow the jurisdiction of the federal courts in suits between citizens of different States or based on federal questions calls for strict construction of the statute in determining the value of the matter in controversy. 292 U.S. at 270
  5. Constitutional Law — State Court Jurisdiction The power reserved to the States under the Constitution to provide for the determination of controversies in their courts may be restricted only by the action of Congress in conformity with the judiciary sections of the Constitution. 292 U.S. at 270
  6. Federal Courts & Jurisdiction — Jurisdictional Limits — Comity Due regard for the rightful independence of state governments, which should actuate federal courts, requires that federal courts scrupulously confine their own jurisdiction to the precise limits which the statute has defined. 292 U.S. at 270
  7. Federal Courts & Jurisdiction — Amount in Controversy — Annual Taxes In suits to enjoin the collection of a tax payable annually or the imposition of penalties in case it is not paid, the sum due or demanded is the matter in controversy, and the amount of the tax, not its capitalized value, is the measure of the jurisdictional amount. 292 U.S. at 270