Justia Class Action Opinion Summaries

Articles Posted in Commercial Law
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In 1991, Carpenter pled guilty to aggravated theft and bank fraud. He served jail time and was disbarred. Between 1998 and 2000, he ran a Ponzi scheme, selling investments in sham companies, promising a guaranteed return. A class action resulted in a judgment of $15,644,384 against Carpenter. Plaintiffs then sued drawee banks, alleging that they violated the UCC "properly payable rule" by paying checks plaintiffs wrote to sham corporations, and depositary banks, alleging that they violated the UCC and committed fraud by depositing checks into accounts for fraudulent companies. The district court dismissed some claims as time-barred and some for failure to state a claim. After denying class certification, the court granted defendant summary judgment on the conspiracy claim, based on release of Carpenter in earlier litigation; a jury ruled in favor of defendant on aiding and abetting. The Sixth Circuit affirmed. Claims by makers of the checks are time-barred; the "discovery" rule does not apply and would not save the claims. Ohio "Blue Sky" laws provide the limitations period for fraud claims, but those claims would also be barred by the common law limitations period. The district court retained subject matter jurisdiction to rule on other claims, following denial of class certification under the Class Action Fairness Act, 28 U.S.C. 1332(d).

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Plaintiffs William and Connie Huston sought to enforce the terms of a global class action settlement agreement in the circuit court when defendants Mercedes-Benz and Smith Motor Cars allegedly refused to repair the plaintiffs' sports utility vehicle in accordance with the settlement agreement. The defendants moved to dismiss, claiming that the circuit court did not have jurisdiction to adjudicate the Hustons' claims. The circuit court certified to the Supreme Court the question of the circuit court's authority to adjudicate the plaintiffs' lawsuit against the defendants. The Supreme Court concluded that the circuit court did not have jurisdiction to consider the plaintiffs' lawsuit because continuing jurisdiction over the settlement agreement had been retained by the federal district court where the global class action settlement agreement was originally reached. As such, the plaintiffs could not properly maintain their suit against the defendants in the circuit court.