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The Collaborative Clearinghouse for Lawsuits and Other Claims Against ACE Group Insurance Companies

ACE AMERICAN INSURANCE COMPANY et al v. NAES POWER CONTRACTORS INC

ATTENTION: It is possible that this information may no longer be current and therefore may be inaccurate. The index contains both open and closed cases and is not a complete list of cases in which an ACE Insurance Group company is involved. This information is provided to give interested persons an idea of the issues disputed in the indexed cases. For a full understanding of a case, one should read the rest of the court file, including the response. For the most up-to-date and complete information on a case, visit www.pacer.gov or contact the clerk of the relevant court.

Case Number: 
2:13-cv-00281 Search Pacer
ACE Group party(s): 
Court Type: 
Federal
US District Court: 
District of Wyoming
Date Filed: 
Dec 26 2013

COMES NOW Defendant NAES Power Contractors, Inc., acting by and
through its attorneys, Crank Legal Group, P.C., and files this Notice of
Removal.
1. Defendant NAES Power Contractors, Inc. hereby notifies the Court
and all parties that this case titled ACE AMERICAN INSURANCE COMPANY; XL
INSURANCE AMERICA, INC.; BERKSHIRE HATHAWAY INTERNATIONAL
INSURANCE LTD., CATLIN UNDERWRITING AGENCIES LTD., GREAT LAKES
REINSURANCE (UK) PLC, and SWISS RE INTERNATIONAL SE, UK BRANCH
EACH SUBSCRIBING TO CONTRACT NO. El 035911(1); ALLIANZ GLOBAL RISKS
US INSURANCE COMPANY; TALBOT UNDERWRITING SERVICES (US) LTD.;
NATIONAL UNION FIRE INSURANCE COMPANY OF PITTSBURGH
PENNSYLVANIA; LEXINGTON INSURANCE COMPANY; GENERAL SECURITY
INDEMNITY COMPANY OF ARIZONA; TORUS NATIONAL INSURANCE COMPANY;
and NAVIGATORS MANAGEMENT COMPANY, INC. on behalf of MILLENNIUM
SYNDICATE at LLOYD'S 1221 (85%) and PEMBROKE SYNDICATE at LLOYD'S
4000 (15%) as subrogees of The Sinclair Companies, Inc., and THE SINCLAIR
COMPANIES, INC. vs. NAES POWER CONTRACTORS, INC. filed in the Second
Judicial District for Carbon County, Docket No. CV-13-207, should be removed
from state district court based on the complete diversity of citizenship between
the Plaintiffs and the Defendant, NAES Power Contractors, Inc. A copy of all
process, pleadings, and orders served upon the Defendant in this matter is
attached hereto as Exhibit A.
2. The amount in controversy alleged by the Plaintiffs in the
Complaint filed in state district court exceeds the $75,000 jurisdictional limit of
the federal district court in diversity jurisdiction cases.
3. This Notice of Removal is timely filed pursuant to 28 USC § 1446.
4. That concurrent with the filing of this Notice of Removal pursuant
to 28 USC § 1446, the Defendant has served a true and accurate copy of this
Notice of Removal to all adverse parties and has filed a copy of the notice with
the Clerk of the Second Judicial District Court for Carbon County where the
original matter was filed.

The provided text is an excerpt from a document filed in this case. For a full understanding of the case, one should read the complete court file, including the response.

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