Shipley v. Helping Hands Therapy, No. 19-13812 (11th Cir. 2021)
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In this appeal, the Eleventh Circuit considered a question of first impression: whether the district court has authority to remand a case based on a procedural defect in removal when (1) a motion to remand for lack of subject matter jurisdiction is filed within 30 days of the notice of removal, but (2) a procedural defect is not raised until after the 30-day statutory time limit.
The court concluded that 28 U.S.C. 1447(c) allows a district court to remand based on lack of subject matter jurisdiction or upon a timely motion to remand on the basis of a procedural defect. In this case, the district court's remand order is based on neither of those grounds. Rather, plaintiff untimely raised a procedural defect in removal, thus forfeiting that objection. Consequently, the district court had no authority to remand the case on that basis. The court vacated the order remanding the case to state court.
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