Burdett v. Remington Arms Co., LLC

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Plaintiff filed suit against defendants after he was injured when his rifle suddenly discharged, firing a bullet through his foot. Plaintiff alleged five products liability claims and one claim under Texas law. The district court entered summary judgment in favor of defendants because plaintiff's claim was time-barred. At issue was whether the district court properly applied Texas's choice of law rules, which is dependent upon whether section 71.031(a) of the Texas Civil Practice and Remedies Code is a choice of law provision and whether the statute applies in federal court. The court concluded that Hyde v. Hoffmann-La Roche, Inc. is controlling in this case. In light of Hyde, the court concluded that section 71.031 is a choice of law provision that applies in both state and federal courts, and an analysis of section 71.031 demonstrates the result is the same regardless of whether plaintiff is considered a resident of Texas or Georgia. In this case, even assuming the rifle was first purchased in 1998, plaintiff had until 2013 to initiate his products liability suit, but he did not do so until 2015, which was more than fifteen years from the date of the sale of the rifle. Accordingly, the court affirmed the judgment. View "Burdett v. Remington Arms Co., LLC" on Justia Law