Forum
U.S. Supreme Court
Case Status
Decided
Docket Number
Term
Cert. Denied
Lower Court Opinion
Questions Presented
Whether the Due Process Clause of the Fourteenth Amendment is violated when a court, in the absence of specific or general jurisdiction, nevertheless exercises personal jurisdiction over an out-of-state defendant under a theory of “conspiracy jurisdiction.”
Case Updates
U.S. Supreme Court declines to address due process limits on so-called “conspiracy jurisdiction”
June 27, 2016
The petition for certiorari was denied.
U.S. Chamber files amicus brief
April 15, 2016
The U.S. Chamber asked the U.S. Supreme Court to review a decision of the Tennessee Supreme Court that held that a court, in the absence of specific or general jurisdiction, nevertheless may exercise personal jurisdiction over an out-of-state defendant alleged to be a “co-conspirator” based on the “co-conspirators” contacts with the forum. The U.S. Chamber’s amicus brief argues that this so-called “conspiracy jurisdiction” theory is incompatible with the Due Process Clause of the Fourteenth Amendment. Whenever a court applies conspiracy jurisdiction, there is a substantial risk of a due process violation even if the court ultimately concludes that it lacks jurisdiction. The amicus brief also explains that courts have begun to apply conspiracy jurisdiction at an alarmingly frequent rate, making it all the more important for the Court to address this issue at this time.
Lisa Blatt and Reeves Anderson of Arnold & Porter LLP, now Arnold & Porter Kaye Scholer LLP, served as counsel for the U.S. Chamber of Commerce on behalf of the U.S. Chamber Litigation Center.
Case Documents
- Opinion -- First Community Bank v. First Tennessee Bank (Tennessee Supreme Court)_1.pdf
- Cert. Petition -- Fitch Ratings, Inc. v. First Community Bank (SCOTUS).pdf
- U.S. Chamber Amicus Brief in Support of Certiorari -- Fitch Ratings v. First Community Bank (U.S. Supreme Court, certioriari).pdf