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Ex parte Henry W. Bradshaw.

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Henry Bradshaw, a defendant in a personal–injury action, petitioned for mandamus relief to direct the circuit court to vacate its order denying his motion to dismiss the claims of plaintiff, Princeton Gregory, and to enter an order dismissing Gregory's claims against Bradshaw for lack of personal jurisdiction. The parties were involved in a car accident in Mississippi. Gregory was a resident of Mobile, Alabama; Bradshaw was a resident of Florida. Bradshaw entered a limited appearance in the negligence action brought against him for the purpose of asking the court to dismiss the claims. Bradshaw argued that Gregory's complaint failed to allege that Bradshaw's contacts with Alabama were sufficient to support personal jurisdiction over him. Relying on Bradshaw's deposition testimony, Gregory filed a further response in opposition to Bradshaw's amended motion to dismiss in which he argued that Bradshaw's connection to and activities in Alabama, as described above, were sufficient to suggest that Bradshaw should have anticipated that he might be sued in Alabama or, at the very least, created a jury question on the issue of general personal jurisdiction. The trial court apparently agreed and, following a hearing, denied Bradshaw's motion to dismiss. After review of the facts entered in the circuit court record, the Alabama Supreme Court disagreed with the circuit court's conclusion, finding Bradshaw demonstrated a clear lack of general personal jurisdiction over him in connection with Gregory's claims. The Court thus granted Bradshaw's petition for mandamus relief. View "Ex parte Henry W. Bradshaw." on Justia Law

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