multiple factors (New Jersey) · Go Syfert
← New Jersey issues

multiple factors in New Jersey

7 New Jersey opinions name it 2 courts 1995–2021 2 in the last five years

The cases below were cited by New Jersey courts in a sentence that names this issue. Sides come from how each citing opinion treated the case (Syfertize flag on that citation), so a case can appear on both: that is where the law is contested. A red or yellow chip is the case's own overall treatment.

Followed or applied (4)

CaseFollowedCited
Faucett v. Vasquezgreen
njsuperctappdiv · 2009 · cited in 3 New Jersey opinions naming this issue, 2020–2021
2 sentences

2021See Faucet v. Vasquez, 411 N.J.

2021See Faucet v. Vasquez, 411 N.J.

23
Panetta v. Panettagreen
njsuperctappdiv · 2004 · cited in 1 New Jersey opinions naming this issue, 2019–2019
1 sentence

2019The Marx formula is based upon the fact "the actual pension benefit of a deferred distribution plan cannot be calculated until 'the time of retirement because [it is based] upon the multiple factors of age at retirement, final average salary, number of years of service, mortality, future interest rates and the form in which it is paid.'" Id. at 496 (alteration in original) (quoting Marx, 265 N.J.

11
Abdallah v. OCCUPATIONAL CENTER OF HUDSON CTY., INC.green
njsuperctappdiv · 2002 · cited in 1 New Jersey opinions naming this issue, 2003–2003
2 sentences

2003Abdallah v. Occupational Ctr. of Hudson County, Inc., 351 N.J.Super. 280, 284 , 798 A.2d 131, 133-34 (App.Div.2002).

2003Abdallah v. Occupational Ctr. of Hudson County, Inc., 351 N.J.Super. 280, 284 , 798 A.2d 131, 133-34 (App.Div.2002).

11
Burrell v. Quarantagreen
njsuperctappdiv · 1992 · cited in 1 New Jersey opinions naming this issue, 1995–1995
2 sentences

1995We thus hold the entire controversy doctrine fully applicable to Burrell's lawsuit. [ Id. at 252, 612 A. 2d 379 (citations omitted).] Having concluded that the entire controversy doctrine was applicable in the multiple claim automobile accident personal injury litigation context, the court considered whether there are circumstances in which litigation like Burrell's may proceed despite the entire controversy bar.

1995We thus hold the entire controversy doctrine fully applicable to Burrell's lawsuit. [ Id. at 252, 612 A. 2d 379 (citations omitted).] Having concluded that the entire controversy doctrine was applicable in the multiple claim automobile accident personal injury litigation context, the court considered whether there are circumstances in which litigation like Burrell's may proceed despite the entire controversy bar.

11

Distinguished, questioned or overruled (0)

CaseNegativeCited
No negative-treatment citations attached to this issue in New Jersey. Read the followed side critically anyway.

Also cited on this issue (1)

CaseCitedYears
Marx v. Marx green
njsuperctappdiv · 1993
2 sentences

2019The Marx formula is based upon the fact "the actual pension benefit of a deferred distribution plan cannot be calculated until 'the time of retirement because [it is based] upon the multiple factors of age at retirement, final average salary, number of years of service, mortality, future interest rates and the form in which it is paid.'" Id. at 496 (alteration in original) (quoting Marx, 265 N.J.

2004The Marx court noted that the actual pension benefit of a deferred distribution plan cannot be calculated until "the time of retirement because [it is based] upon the multiple factors of age at retirement, final average salary, number of years of service, mortality, future interest rates and the form in which it is paid." Id. at 424 , 627 A. 2d 691 .

22004–2019

Statutes the citing opinions construe

NJ § N.J. Stat. § 9:2-4 (3)

Counted by distinct opinions that both name this issue and are annotated to the section; sections every opinion cites regardless of issue are not filtered here, so read the counts against the total above.

Where else courts name it

IA 20 (1991–2024) CA 16 (1971–2026) IL 13 (2015–2025) NC 11 (1979–2010) OH 9 (1990–2026) TX 8 (2012–2025) PA 8 (1979–2025) MI 8 (1983–2023) KS 7 (1984–2025) NJ 7 (1995–2021) WA 7 (1996–2026) DC 6 (1982–2025) IN 5 (1999–2017) MN 5 (1986–2017) MD 5 (1997–2012) DE 5 (1967–2020) ID 5 (1984–2020) NM 4 (1988–2015) HI 4 (1966–2014) FL 4 (1994–2018) CT 4 (1988–2008) LA 4 (2011–2022) NY 4 (1976–2004) WY 3 (1979–2007) AR 3 (2005–2025) RI 2 (2012–2012) AK 2 (1975–1991) NV 2 (2020–2022) VT 2 (1999–1999) KY 2 (1981–2024) SD 2 (1977–1985) GA 2 (2008–2009) CO 2 (1998–2012) ND 2 (1970–1975)

Opinions by the citing court's state. A doctrine retained in one state and abandoned in another shows up here as a year span that stalls.

← Caselaw search · G Cite Topics · Brief Check