Free US Court of Appeals for the Ninth Circuit case summaries from Justia.
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US Court of Appeals for the Ninth Circuit Opinions | Setty v. Shrinivas Sugandhalaya LLP | Docket: 18-35573 Opinion Date: January 20, 2021 Judge: Dorothy Wright Nelson Areas of Law: Arbitration & Mediation | On remand from the Supreme Court in light of GE Energy Power Conversion France SAS v. Outokumpu Stainless USA, LLC, 140 S. Ct. 1637 (2020), the Ninth Circuit affirmed the district court's order denying defendant's motions to compel arbitration and to grant a stay pending arbitration. Rather than apply the law of India, the panel applied federal common law to the issue of whether defendant, a non-signatory to the partnership deed containing an arbitration provision, could compel plaintiffs to arbitrate. The panel applied Letizia v. Prudential Bache Securities, Inc., 802 F.2d 1185 (9th Cir. 1986), which remains good law, and concluded that federal law applied because the case involved federal claims and turned on the court's federal question jurisdiction. The panel held that equitable estoppel precludes a party from claiming the benefits of a contract while simultaneously attempting to avoid the burdens that contract imposes. In this case, the district court did not abuse its discretion in rejecting SS Mumbai's argument that SS Bangalore should be equitably estopped from avoiding arbitration. | | Bean v. Matteucci | Docket: 19-35119 Opinion Date: January 20, 2021 Judge: Paez Areas of Law: Civil Rights, Constitutional Law, Criminal Law | The Ninth Circuit reversed the district court's denial of a 28 U.S.C. 2241 habeas corpus petition where petitioner challenged an Oregon Circuit Court order under Sell v. United States, 539 U.S. 166 (2003), authorizing involuntary medication to restore petitioner's competency to stand trial for murder. The district court applied Younger abstention and concluded that intervention by a federal court would be inappropriate in light of the important state interests at stake in the pending criminal prosecution. The panel held that the district court had subject matter jurisdiction and the authority to rule on the petition. In this case, the state mischaracterized the cognizability issue as a subject matter jurisdiction issue. Furthermore, although the basic Younger criteria are satisfied in this case, the irreparable harm exception to Younger applies and the district court erred in abstaining. The panel remanded for the district court to consider the issue of the cognizability of petitioner's claim in habeas. | |
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