Holbein v. TAW Enterprises, Inc., No. 18-2892 (8th Cir. 2020)
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After plaintiff filed suit against his former employer, TAW, in Nebraska state court, TAW removed to federal district court where the action was dismissed with prejudice. On appeal, a panel of the Eighth Circuit vacated the dismissal and ordered the action remanded to state court, concluding that a removal defect left the district court without subject-matter jurisdiction. TAW Enterprises petitioned for rehearing en banc and the Eighth Circuit vacated the panel opinion, granting rehearing en banc.
The en banc court now overrules prior circuit precedents, Horton v. Conklin, 431 F.3d 602, 605 (8th Cir. 2005), and Hurt v. Dow Chemical Co., 963 F.2d 1142, 1146 (8th Cir. 1992), to the extent they hold that a violation of 28 U.S.C. 1441(b)(2), the so-called forum-defendant rule, is an unwaivable jurisdictional defect in removal. Therefore, the court has jurisdiction to reach the merits of plaintiff's appeal. On the merits, the court affirmed the district court's dismissal, holding that plaintiff failed to state a claim as a matter of law for retaliatory demotion and discharge in contravention of public policy under Nebraska law.
Court Description: [Gruender, Author, for the Court En Banc] Civil case - Civil Procedure. For the panel's opinion in this matter vacating the district court's dismissal order and ordering the matter remanded to state court because a removal defect had left the district court without subject-matter jurisdiction, see Holbein v. Baxter Chrysler-Jeep, Inc., 948 F.3d 931 (8th Cir. 2020). The court en ban overrules prior case law in this circuit to the extent those prior cases held that a violation of 28 U.S.C. Section 1441(b)(2) - the so-called forum-defendant rule - is an unwaivable jurisdictional defect in removal; as a result, the district court's order dismissing the action with prejudice is affirmed.
This opinion or order relates to an opinion or order originally issued on January 29, 2020.
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