Fourth Circuit: Kathy A. Netro v. GBMC



Portion of unpaid state court judgment that plaintiff would eventually have to reimburse to the federal government sufficed for Article III injury for the plaintiff.

Statute, although not formally a qui tam statute, effected a partial assignment of claim sufficient for standing.

Delay in payment of judgment not unreasonable, though.


http://www.ca4.uscourts.gov/opinions/171597.P.pdf