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In re Uber Techs., Inc. Passenger Sexual Assault Litig.

United States District Court, Northern District of California
Mar 20, 2024
MDL 3084 (N.D. Cal. Mar. 20, 2024)

Opinion

MDL 3084

03-20-2024

IN RE UBER TECHNOLOGIES, INC., PASSENGER SEXUAL ASSAULT LITIGATION


PRETRIAL ORDER NO. 11: STIPULATED ORDER RE: ADOPTION OF MASTER AND SHORT FORM COMPLAINTS

Charles R. Breyer, United States District Judge

This Stipulated Order shall govern all cases in MDL No. 3084. In light of the number of complaints filed and anticipated in this Multi-District Litigation, the inefficiency of drafting individual Complaints and Answers to those Complaints, and in order to streamline the process for the Court's consideration of dispositive motions, the Parties have agreed to the use of master pleadings. This Order sets forth the procedures governing this process.

I. APPLICABILITY OF ORDER

1. This Order applies to all cases currently pending in MDL No. 3084 and to all actions that have or will be filed in, transferred, removed or otherwise assigned, to this proceeding. This Order is binding on all Parties and their counsel in all such cases. This Order is not intended to alter the applicable provisions of the Federal Rules of Civil Procedure or the Local Rules of this Court, except as specified herein or in any subsequent Pretrial Order.

II. MASTER PLEADINGS

2. On February 15, 2024, the Plaintiffs' Steering Committee (“PSC”) filed Plaintiffs' Master Long-Form Complaint (“Master Complaint”) on behalf of all Plaintiffs in this MDL proceeding. ECF No. 269. This Order applies to all parties named in the Master Complaint.

3. Attached as EXHIBIT A is a template Short Form Complaint (“SFC”). The SFC is an abbreviated form that each individual Plaintiff will complete to indicate their- individual claims, adopt the factual allegations set forth in the Master Complaint as the basis for those claims, and provide additional factual allegations, if any. By this process, all allegations set forth in the Master Complaint shall be deemed pleaded against all relevant parties named in each SFC.

4. Each SFC filed in this MDL proceeding shall indicate the federal district in which the individual Plaintiff originally filed or would have originally filed their Complaint.

5. By stipulating to the procedures for filing SFCs, Defendants do not agree to or admit the allegations set forth in the SFC template or that may be added by any individual who completes the template. Defendants do not waive, and expressly preserve the right to dispute the legal validity of the claims and allegations set forth in the Master Complaint and SFCs, and any other right, defense, affirmative defense, or objection Defendants may have, including with respect to challenges regarding subject matter, venue, forum, personal jurisdiction, and/or service of process.

6. Each Plaintiff with a case pending in this MDL as of the date of this Order shall file a SFC within 21 days of entry of this Order naming each diverse Defendant against whom Plaintiff is asserting claims, by placing a check-mark in the box next to the diverse Defendant's name to select each applicable diverse Defendant against whom claims are alleged.

7. Any Plaintiff may file a SFC directly into the MDL pursuant to PTO 6.

8. Each Plaintiff with a case transferred into this MDL after the date of this Order shall file a SFC, within 21 days of transfer into this MDL, naming each diverse Defendant against whom Plaintiff is asserting claims by placing a check-mark in the box next to the diverse Defendant's name to select each applicable diverse Defendant against whom claims are alleged.

9. Plaintiff should only select Defendants (by placing a check-mark next to the Defendants name) if Diversity exists. The Court expects that each Plaintiff and then counsel will make a carefully individualized evaluation of the basis for naming appropriate Defendants in the filed SFC.

10. For purposes of the calculating the statutes of limitation and/or repose as to previously filed cases, the date that the Plaintiff first started an action by filing an original Complaint or other pleading in either state or federal court shall be deemed the relevant date of first filing (not the later date when the SFC was filed).

11. All provisions of this order that apply to the Master Complaint apply with equal force and effect to any Amended Master Complaints. All Short Form complaints filed or to be filed in this MDL are deemed to incorporate any Amended Master Complaints without the need for any Plaintiff to take action to amend their' Short Form Complaint upon the filing of an Amended Master Complaint.

HI. RESPONSE TO MASTER COMPLAINT AND SHORT FORM COMPLAINTS

12. To eliminate potential delays and to promote judicial efficiency with respect to the administration of this MDL proceedings, all Defendants named in the Master Complaint need not answer or otherwise respond to any SFC filed in this MDL proceeding until ordered to do so by the Court.

TV. SERVICE OF PROCESS

13. Defendants have stipulated to e-mail service under Pretrial Order No. 6. ECF No. 177. A Plaintiff serving a SFC pursuant to PTO 6 is not required to serve a copy of the Master Complaint by e-mail upon Defendants.

15. Neither the existence of this Order nor any of its terms shall in any manner burden Defendants' right to assert defenses available under Federal Rule of Civil Procedure 12(b) or otherwise challenge the sufficiency of any claim in the Master Complaint under the applicable laws.

IT IS SO ORDERED.

EXHIBIT A

SHORT-FORM COMPLAINT AND DEMAND FOR JURY TRIAL

The Plaintiff named below files this Short-Form Complaint and Demand for Jury Trial against Defendants named below by and through the undersigned counsel. Plaintiff incorporates by reference the allegations contained in Plaintiffs' Master Long-Form Complaint in In Re: Uber Technologies, Inc., Passenger Sexual Assault Litigation, MDL No. 3084 in the United States District Court for the Northern District of California. Plaintiff files this Short-Form Complaint as permitted by Case Management Order No.__of this Court.

Plaintiff selects and indicates by checking-off where requested, the Parties and Causes of Actions specific to this case.

Plaintiff, by and through their undersigned counsel, allege as follows:

I. DESIGNATED FORUM ]

See Pretrial Order No. 6, at II(C) (ECF No. 177).

1. Identify the Federal District Court in which the Plaintiff would have filed in the absence of direct filing:

[INSERT FEDERAL DISTRICT COURT]

(“Transferee District Court”).

II. IDENTIFICATION OF PARTIES

A. PLAINTIFF

1. Injured Plaintiff: Name of the individual who alleges they were sexually assaulted, battered, harassed, or otherwise attacked by an Uber driver with whom they were paired while using the Uber platform:

[INSERT PLAINTIFF NAME OR PSEUDONYM]

(“Plaintiff').

2. At the time of the filing of this Short-Form Complaint, Plaintiff resides at:

[INSERT PLAINTIFF ADDRESS (CITY, COUNTY, AND STATE ONLY)]

3. (If applicable) [INSERT NAME OF REPRESENTATIVE] is filing this case in a representative capacity as the [INSERT DESCRIPTOR I.E. ADMINISTRATOR ETC.] of the [INSERT DESCRIPTOR I.E. ESTATE OF NAME, ETC.], and has authority to act in this representative capacity because [INSERT BASIS FOR AUTHORITY].

B. DEFENDANTS)

1. Plaintiff names the following Defendants in this action.

[BEFORE PROCEEDING - PLEASE CAREFULLY READ AND CONSIDER THE PLACES OF INCORPORATION AND PRINCIPAL PLACE OF BUSINESS OR RESIDENCE OF EACH DEFENDANT BEFORE SELECTING TO ENSURE THAT YOU ARE NOT NAMING ANY DEFENDANTS FROM THE SAME STATE AS THE PLAINTIFF. THE PLACE OF INCORPORATION, PRINCIPAL PLACE OF BUSINESS OR RESIDENCE OF EACH DEFENDANT IS IN THE FOOTNOTES FOR YOUR CONVENIENCE]:

[] UBER TECHNOLOGIES, INC.;
[] RASIER, LLC;
[] RASIER-CA, LLC.
[] OTHER (specify):. This defendant's residence is in (specify state):.

Delaware corporation with a principal place of business in California.

A limited liability company whose sole member, Uber Technologies, Inc., is a citizen of Delaware and California.

A limited liability company whose sole member, Uber Technologies, Inc., is a citizen of Delaware and California.

C. RIDE INFORMATION

1. The Plaintiff was sexually assaulted, harassed, battered, or otherwise attacked by an Uber driver in connection with a ride facilitated on the Uber platform in [COUNTY, STATE] on [DATE].

2. The Plaintiff [WAS/WAS NOT] the account holder of the Uber account used to request the relevant ride.

3. The Plaintiff provides the following additional information about the ride: [PLEASE SELECT/COMPLETE ONE]

[] The Plaintiff hereby incorporates Plaintiff's disclosure of ride information produced pursuant to Pretrial Order No. 5 ¶ 4 on [DATE] or to be produced in compliance with deadlines set forth in Pretrial Order No. 5 ¶ 4, and any amendments or supplements thereto.
[] The origin of the relevant ride was [STREET ADDRESS, CITY, COUNTY, STATE]. The requested destination of the relevant ride was [STREET ADDRESS, CITY, COUNTY, STATE]. The driver was named [DRIVER NAME].

III. CAUSES OF ACTION ASSERTED

1. The Causes of Action asserted in the Plaintiffs ' Master Long-Form Complaint, and the allegations with regar d thereto in the Plaintiffs ' Master Long-Form Complaint, are adopted in this Short-Form Complaint by reference, except that Plaintiff opts out of and excludes the causes of action specified below:

Check any EXCLUDED causes of action

Cause of Action Number

Cause of Action

[]

I

NEGLIGENCE (including Negligent Hiring, Retention, Supervision, and Entrustment)

[]

II

FRAUD AND MISREPRESENTATION

[]

III

NEGLIGENT INFLICTION OF EMOTIONAL DISTRESS

[]

IV

COMMON CARRIER'S NON-DELEGABLE DUTY TO PROVIDE SAFE TRANSPORTATION

[]

V

OTHER NON-DELEGABLE DUTIES TO PROVIDE SAFE TRANSPORTATION

[]

VI

VICARIOUS LIABILITY FOR DRIVERS' TORTS - EMPLOYEE

[]

VII

VICARIOUS LIABILITY FOR DRIVERS' TORTS - APPARENT AGENCY

[]

VIII

VICARIOUS LIABILITY FOR DRIVERS' TORTS -RATIFICATION

[]

IX

VICARIOUS LLABILITY FOR DRIVERS' TORTS - Cal. Public Utilities Code § 535

[]

X

STRICT PRODUCTS LIABILITY - DESIGN DEFECT

[]

XI

STRICT PRODUCTS LIABILITY - FAILURE TO WARN

[]

XII

STRICT PRODUCTS LLABILITY - PRODUCT LIABILITY ACTS

[]

XIII

UNFAIR COMPETITION LAW - Cal. Bus. & Prof. Code § 17200 et seq.

This claim is pleaded in the Plaintiffs' Master Long-Form Complaint under the laws of every state except: Arizona, Colorado, District of Columbia. Illinois (for incidents prior to August 11, 2023), Michigan, Montana (for incidents prior to April 23, 2023), New York, Pennsylvania. Wisconsin, and Wyoming.

This claim is pleaded in Plaintiffs' Master Long-Form Complaint under the laws of every state except: District of Columbia, Michigan, New York, Pennsylvania.

VI. ADDITIONAL CAUSES OF ACTION AND/OR ALLEGATIONS

NOTE

If Plaintiff wants to allege additional Cause(s) of Action other those selected in paragraph, the specific facts supporting any such additional Cause(s) of Action, must be pled in a manner complying with the requirements of the Federal Rules of Civil Procedure (see paragraph). In doing so you may attach additional pages to this Short-Form Complaint.

1. Plaintiff asserts the following additional theories against the Defendants designated in paragraph above:

[YOU MAY ATTACH ADDITIONAL PAGES, IF NECESSARY]

2. If Plaintiff has additional factual allegations not set forth in Plaintiffs' Master Long-Form Complaint, they may be set forth below or in additional pages:

[YOU MAY ATTACH ADDITIONAL PAGES, IF NECESSARY]

WHEREFORE, Plaintiff prays for relief and judgment against Defendants for economic and non-economic compensatory and punitive and exemplary damages, together with interest, costs of suit, attorneys' fees, and all such other relief as the Court deems proper, and such further relief as the Court deems equitable and just, and as set forth in Plaintiffs' Master Long-Form Complaint.

JURY DEMAND

Plaintiff hereby demands a trial by jury as to all claims in this action.


Summaries of

In re Uber Techs., Inc. Passenger Sexual Assault Litig.

United States District Court, Northern District of California
Mar 20, 2024
MDL 3084 (N.D. Cal. Mar. 20, 2024)
Case details for

In re Uber Techs., Inc. Passenger Sexual Assault Litig.

Case Details

Full title:IN RE UBER TECHNOLOGIES, INC., PASSENGER SEXUAL ASSAULT LITIGATION

Court:United States District Court, Northern District of California

Date published: Mar 20, 2024

Citations

MDL 3084 (N.D. Cal. Mar. 20, 2024)