Blazejewski v. Allstate Fire and Casualty Insurance Co.
A court of the Western District of Texas denied insured's motion to remand, finding the court had subject matter jurisdiction where auto insurer's notice of removal demonstrated diversity of citizenship at the time of suit and removal, and that amount in controversy was satisfied where insured's claim for UIM coverage was not limited by policy benefits but included claims for penalties, punitive damages, and fees.
auto insurance policy, removal, diversity, amount in controversy, subject matter jurisdiction, Tex. Ins. Code Ch. 541 claims, punitive damages, fees
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