Where there is a separable controversy and requisite diversity
of citizenship, it is the duty of the state court to accept the
petition and bond and proceed no further in the case; trial and
judgment thereafter by the state court would be
coram non
judice unless its jurisdiction over the cause be restored.
The state court may recover jurisdiction over a cause which has
been removed by defendants having separable controversy, and where
plaintiff has an order entered dismissing it against the removing
defendants and other defendants having like ground of removal
reciting that, in consideration of such dismissal, the petition for
removal is withdrawn, the state court has jurisdiction to proceed
against the remaining defendants.
National Steamship Co. v.
Tugman, 106 U. S. 118,
distinguished.
79 Oh.St. 23 affirmed.
The facts are stated in the opinion.
Page 222 U. S. 165
Memorandum opinion by direction of the Court. By MR. JUSTICE
LURTON:
The single question for our consideration upon this writ of
error concerns the jurisdiction of the state court to proceed with
the action after one of the original defendants had filed its
petition and bond for removal to the circuit court of the United
States.
If, as we shall assume, there was a separable controversy and
the requisite diversity of citizenship, it was the duty of the
state court to accept the petition and bond and proceed no further
in the case. A trial and judgment thereafter would be
coram non
judice unless its jurisdiction over the cause and the parties
was in some way restored.
National Steamship Co. v.
Tugman, 106 U. S. 118;
Madisonville
Traction
Page 222 U. S. 166
Co. v. Mining Company, 196
U. S. 253. But we are of opinion that the plaintiff in
error is not in a position to now assert that the state court's
subsequent exercise of jurisdiction was without authority. When the
removal petition and bond was filed, the plaintiff, before any
order was made in the state court or the record filed in the United
States court, had an order entered in the state court dismissing
his action against the removing defendant and certain others having
like ground of removal, the order reciting that, in consideration
of such dismissal, the petition for removal was withdrawn.
Thereafter, the cause was proceeded with against the remaining
defendants without the hint of any objection by either the
plaintiff or the remaining defendants. Upon the contrary, many
steps were taken and a long jury trial had, resulting in a verdict
and judgment for the defendants. Not until the cause was carried to
the Ohio circuit court by appeal of the plaintiff was there any
objection made to the jurisdiction of the trial court.
The state court had jurisdiction over the subject matter. It
recovered jurisdiction over the remaining parties by action and
conduct equivalent to a formal waiver of new process and new
pleadings, or any formal remander by the United States court.
The
Tugman case, cited above, does not help the
plaintiff in error. The defendant, whose right to remove had been
erroneously denied, was held not to have waived his right to remove
by subsequently consenting to a reference of the case to a referee,
or by defending the suit both before the referee and the court,
without protesting. This Court said:
"When the state court adjudged that it had authority to proceed,
the company was entitled to regard the decision as final so far as
that tribunal was concerned, and was not bound, in order to
maintain the right of removal, to protest at subsequent stages of
the trial against its exercise
Page 222 U. S. 167
of jurisdiction. Indeed, such a course would scarcely have been
respectful to the state court after its ruling upon the point of
jurisdiction had been made."
If, on the other hand, he had thereafter invoked the court's
jurisdiction in his own behalf, he would not have been permitted
later to deny it.
Texas & Pac. Ry. Co. v. Eastin,
214 U. S. 153;
Garrozi v. Dastas, 204 U. S. 64,
204 U. S. 73;
C. & O. Ry. Co. v. McDonald, 214 U.
S. 191.
Judgment affirmed.