Mitchell v. Advanced HCS, LLC, No. 21-10477 (5th Cir. 2022)
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Plaintiff filed suit against Wedgewood in Texas state court after his mother, Emma Mitchell, died in a nursing home. Plaintiff alleged state-law causes of action for medical negligence, corporate negligence, and gross negligence. After removal to federal court, the district court granted plaintiff's motion to remand to state court.
The Fifth Circuit affirmed the district court's judgment, concluding that the Public Readiness and Emergency Preparedness (PREP) Act does not completely preempt plaintiff's state-law negligence claims. The court explained that, because the compensation fund created by the Act does not satisfy this Circuit's test for complete preemption, and because plaintiff could not have brought his claims under the willful-misconduct cause of action, those claims are not completely preempted. The court also rejected Wedgewood's claim that plaintiff's claims raise a significant federal issue that creates federal jurisdiction under the Grable doctrine. The court concluded that Wedgewood cannot avail itself of the federal officer removal statute because it failed to satisfy the third prong of the test where it was not acting pursuant to a federal officer's directions. Accordingly, the court remanded with directions to further remand to the appropriate state court.
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