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Keys v. Eastman Kodak Co.

United States Court of Appeals, Second Circuit
Nov 8, 1990
923 F.2d 844 (2d Cir. 1990)

Summary

holding son, not designated beneficiary by father, "stood no closer to beneficiary status than any other person"

Summary of this case from Coleman v. Champion Int'l Corp.

Opinion

No. 90-7582.

November 8, 1990.

W.D.N.Y., 739 F.Supp. 135.


DECISIONS WITHOUT PUBLISHED OPINIONS

AFFIRMED


Summaries of

Keys v. Eastman Kodak Co.

United States Court of Appeals, Second Circuit
Nov 8, 1990
923 F.2d 844 (2d Cir. 1990)

holding son, not designated beneficiary by father, "stood no closer to beneficiary status than any other person"

Summary of this case from Coleman v. Champion Int'l Corp.

holding that a pension plan owed no ERISA-related duties to a participant's son as a beneficiary because he had not been so designated by the participant

Summary of this case from Ramsay v. Mayer

holding that the son of a pension plan participant, who had not been designated to receive any of his father's pension benefits, "stood no closer to "beneficiary" status than any other person"

Summary of this case from Park v. Trustees of 1199 Seiu Health Care Employs
Case details for

Keys v. Eastman Kodak Co.

Case Details

Full title:Keys v. Eastman Kodak Co

Court:United States Court of Appeals, Second Circuit

Date published: Nov 8, 1990

Citations

923 F.2d 844 (2d Cir. 1990)

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