The plaintiff in Susan Michelle Canon v. Harry B. Towns, et al. recently lost her appeal from a judgment from the Parish of Calcasieu, dismissing her claims against the defendant North Carolina boat sellers in the case for lack of personal jurisdiction. If a court does not have jurisdiction over a party in a case, it will dismiss the claims against that party. Failure to choose the proper court can prevent the success of a valid claim and lead to wasted time and money.
In need of a shrimping vessel to start a business in Louisiana, the plaintiff in the case, Ms. Canon, discovered a boat advertised for sale on the website NoBoatBrokers.com. The listing provided a North Carolina phone number for the sellers, Raeford and Jennifer Millis, which Ms. Canon used to initiate negotiations. These negotiations resulted in Ms. Canon transferring funds from her bank in Louisiana to the seller’s bank in North Carolina to pay for the boat. After traveling to North Carolina to finalize her purchase, Ms. Canon released the uninsured boat to the custody of her Louisiana boat captain and one crew member, both of whom oversaw the boat run aground repeatedly after leaving Sneads Ferry, North Carolina until its ultimate destruction as a result of catching fire in Florida.
The North Carolina boat sellers, the Millises, objected to the Louisiana court’s exercise of personal jurisdiction over them as defendants. In accordance with procedural rules that must be followed in civil law suits, a court must have jurisdiction over the “person” for the court to exert its authority over that defendant. Louisiana refers to its rules of civil procedure as the Code of Civil Procedure (CCP), and courts in the state may refer to prior state and/or federal case law to interpret specific provisions of the Code. Louisiana addresses issues of personal jurisdiction in CCP 6. The only limit on the state’s exercise of personal jurisdiction are those imposed by the due process requirements of the constitution, and in the case of non-resident defendants, there must have been sufficient contact with the state to support that court’s assertion of personal jurisdiction over that defendant. The trial court did not find the Millises’ contacts with Louisiana sufficient to assert jurisdiction over them and dismissed the claims against them.
Louisiana Personal Injury Lawyer Blog

