· 2/8/2007
Cappuccitti v. Gulf Industrial Products, Inc.
Citations
- 222 S.W.3d 468
- 2007 Tex. App. LEXIS 1030
- 2007 WL 441586
How courts have described this case
Verbatim parenthetical descriptions written by other courts when citing this decision. Ranked by citation-network relevance.
- observing that diversion of corporate profits for personal use is factor to be considered in alter ego analysis
- providing that once the contacts of a subsidiary that did not contest personal jurisdiction were imputed to its nonresident parent corporation under an alter ego theory, the trial court properly exercised personal jurisdiction over the nonresident parent corporation
- affirming the trial court’s exercise of personal jurisdiction over the non-resident president of the company defendant through application of the alter ego theory
- exercising “complete control” over the business entity is a factor in an 11 alter-ego analysis
- exercising \complete control\ over the business entity is a factor in an alter-ego analysis
- considering, when upholding trial court’s alter-ego determination, that “as president of both Minerec and Flottec and the sole owner of Flottec, which owned 90% of Minerec, Cappuccitti exercised complete control over the activities of both Minerec and Flottec”
Source: CourtListener parenthetical corpus (CC0).
Judges: Evelyn v. Keyes
Read full opinion on CourtListenerSourced from CourtListener / Free Law Project (CC0).
This is legal information, not legal advice. Laws vary by jurisdiction and change frequently. Always verify current law with official sources and consult a licensed attorney in your jurisdiction for advice on your specific situation.