The Plaintiff filed suit in federal court on diversity
jurisdiction grounds. Judge Bennett first determined that the deceased was
domiciled in Florida since he maintained a residence there, paid taxes there,
and obtained a driver's license there. Thus, Judge Bennett determined the
Plaintiff was also a Florida resident as a representative of her husband's
estate. The defendants are residents of Maryland, and allege that the deceased's
daughter, Ms. Tammy Ward Kilgore ("Kilgore") who is also a Maryland resident, is
a necessary party to the suit. Pursuant to Rule 19, if Kilgore is a necessary
and indispensable party to the suit, she would destroy the Plaintiff's claim to
federal jurisdiction.
For wrongful death actions, Maryland law requires that "all
persons who are or may be entitled by law to damages by reason of the wrongful
death shall be named as plaintiffs whether or not they join in the action." Md.
Rule 15-1001(b). Maryland law further permits only one wrongful death action.
The Court analyzed the jurisdiction claim using the Fourth
Circuit's approach in Owens-Illinois, Inc., v. Meade, 186 F.3d 435, 440 (4th
Cir. 1999). Under Owens-Illinois, the Court first must determine if Kilgore is
necessary to the action. The Court reasoned that Kilgore was a necessary party
in interest because excluding her from the action would not permit the court to
provide complete relief to all of the wrongful death beneficiaries. Thus, under
Rule 19(a), the Court held Kilgore was a necessary party.
The second step under Owens-Illinois requires a court to
determine if an action should proceed in the absence of the necessary party.
Since Maryland law requires a court to "resolve all claims of all potential
beneficiaries," the Court found the action could not proceed without Kilgore.
Johnson v. Price, 191 F.Supp.2d 626, 630 (D. Md. 2001). Therefore, the Court
held that Plaintiff's action could not proceed since joining Kilgore would
destroy diversity jurisdiction. Because Kilgore was a necessary party and the
Court could not "in equity and good conscience" let the matter proceed in her
absence, it dismissed Plaintiff's Complaint. Fed. R. Civ. P. 19 (b).
The Court further held that Kilgore could not waive her
right to wrongful death benefits, finding that subject matter jurisdiction is a
"non-waivable" issue. Johnson, 191 F.Supp.2d at 630. Moreover, the Court held
the Plaintiff could not strike the wrongful death claim from her complaint in
order to preserve federal jurisdiction since the Supreme Court does not permit a
"postfiling salvage operation" on the Complaint. Grupo Dataflux v. Atlas Global Group, L.P., 541 U.S. 567, 571 (2004). Yet, the Plaintiff could re-file her
Complaint in Maryland state court. See Md. Rule 2-101(b).
Thus, the District Court dismissed Plaintiff's claims
without prejudice, and directed her to re-file her claims in Maryland Circuit
Court within 30 days.