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Louisiana First Circuit Reaffirms Prescription and Subsequent Purchaser Principles

The Energy Law

for alleged damage to its property arising out of Chevron’s and its predecessor’s oil and gas operations in the Sardine Point Field from 1959 through 1991. In 2009, the trial court granted Chevron’s motion for partial summary judgment to dismiss all claims for pre-2005 damage to the property under the subsequent purchaser doctrine.

Casing 59
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Louisiana First Circuit Reaffirms Prescription and Subsequent Purchaser Principles

The Energy Law

for alleged damage to its property arising out of Chevron’s and its predecessor’s oil and gas operations in the Sardine Point Field from 1959 through 1991. In 2009, the trial court granted Chevron’s motion for partial summary judgment to dismiss all claims for pre-2005 damage to the property under the subsequent purchaser doctrine.

Casing 52
article thumbnail

Louisiana First Circuit Reaffirms Prescription and Subsequent Purchaser Principles

The Energy Law

for alleged damage to its property arising out of Chevron’s and its predecessor’s oil and gas operations in the Sardine Point Field from 1959 through 1991. In 2009, the trial court granted Chevron’s motion for partial summary judgment to dismiss all claims for pre-2005 damage to the property under the subsequent purchaser doctrine.

Casing 52