Rockwell International Corp. V. United States
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''Rockwell International Corp. v. United States'', 549 U.S. 457 (2007), is a United States Supreme Court case in which the Court examined the "original source" exception to the "public-disclosure" bar of the False Claims Act. The Court held that (1) the original source requirement of the FCA provision setting for the original-source exception to the public-disclosure bar on federal-court jurisdiction is jurisdictional; (2) the statutory phrase "information on which the allegations are based" refers to the relator's allegations and not the publicly disclosed allegations; the terms "allegations" is not limited to the allegations in the original complaint, but includes, at a minimum, the allegations in the original complaint as amended; (3) relator's knowledge with respect to the pondcrete fell short of the direct and independent knowledge of the information on which the allegations are based required for him to qualify as an original source; and (4) the government's intervention did not provide an independent basis of jurisdiction with respect to the relator.


Background

'' Qui tam'' relator James Stone brought an action against government contractor, Rockwell International Corporation, alleging that it violated the False Claims Act while operating a nuclear weapons plant. In the course of defending against the relator's action, Rockwell filed a motion to dismiss for lack of
subject-matter jurisdiction Subject-matter jurisdiction (also called jurisdiction ''ratione materiae')'' is the authority of a court to hear cases of a particular type or cases relating to a specific subject matter. For instance, bankruptcy court only has the authority ...
based on the relator's alleged failure to qualify as an original source under the FCA. Rockwell's motion was denied by the district court. The U.S. Government intervened, pursuant to the intervention provisions of the FCA, and together with the relator, filed a joint amended complaint alleging, among other things, that Rockwell committed environmental violations by storing leaky blocks of pondcrete—a form of processed toxic waste. Following a jury trial, the United States District Court for the District of Colorado entered judgment in favor of the United States and relator Stone. As a result, the district court awarded statutorily-provided treble damages to the plaintiffs. Rockwell appealed the judgment, and the Tenth Circuit affirmed in relevant part, but remanded for a determination of whether the relator had satisfied a statutory requirement of disclosing information underlying his claims to the government prior to bringing suit. On remand, the district court found that the relator had not made an adequate disclosure, and appeal was taken. The Tenth Circuit Court of Appeals held that the relator was an original source.


Opinion of the Court

The United States Supreme Court granted
certiorari In law, ''certiorari'' is a court process to seek judicial review of a decision of a lower court or government agency. ''Certiorari'' comes from the name of an English prerogative writ, issued by a superior court to direct that the record of ...
on the limited original source issue. Justice Breyer took no part in consideration or decision of this case.


References

{{reflist United States Supreme Court cases 2007 in United States case law United States Supreme Court cases of the Roberts Court