Abstract
(The district court also found the third action barred by the FCA's statute of limitations.) The district court held that Carter's fourth action was barred by the pendency of KBR's petition for certiorari seeking review of the court of appeals' decision in Carter's third action. [...]although the FCA is the main federal statute imposing civil liability for fraud against the federal government, other statutes do so and could be subject to WSLA suspension.