Pogo Resources, LLC v. St. Paul Fire and Marine Insurance Co.
A Magistrate of the Northern District of Texas, after previously granting a commercial general liability insurer's motion to dismiss for lack of standing, granted the insured's motion for leave to amend its complaint to assert additional facts to support standing, finding no substantial reason to deny the motion to amend after the amendment deadline where there was no evidence that the insured acted in bad faith or that the defendant insurer would be prejudiced.
commercial general liability, standing, motion to dismiss, motion to amend complaint, bad faith, futility, prejudice, amendment after deadline, FRCP 15(a)
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