August 04th, 2020
US Court of Appeals for the Fifth Circuit Opinions
Mays v. Chevron Pipe Line Co.
Opinion Date: August 3, 2020
Judge: Stuart Kyle Duncan
Areas of Law: Admiralty & Maritime Law, Personal Injury
After James Mays was killed in an explosion on an offshore platform owned by Chevron, Mays' widow and children filed suit against Chevron for state law wrongful death. Mays was directly employed by Furmanite, a Chevron subcontractor, which serviced valves on Chevron's platforms. At issue was whether Mays' accident was covered by the federal Longshore and Harbor Workers' Compensation Act (LHWCA). The jury found that Mays' death was caused by Chevron's Outer Continental Shelf (OCS) activities, and thus the LHWCA applied and Chevron did not enjoy state immunity. The Fifth Circuit affirmed and rejected Chevron's argument that the district court erred by instructing the jury to consider Chevron's OCS operations in answering the substantial nexus question. The court held that the district court did not misapply Pacific Operators Offshore, LLP v. Valladolid, 565 U.S. 207 (2012), by instructing the jury to determine whether there was a substantial nexus between Mays' death and Chevron's—as opposed to Furmanite's—OCS operations. The court also rejected Chevron's argument that the evidence linking its OCS operations to Mays' death failed to meet the substantial nexus test as a matter of law. Finally, the court held that the district court did not abuse its discretion by refusing to reduce the jury's $2 million loss-of-affection award to Mrs. Mays.
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