Martin v. Detroit Lions, Inc. (1973) 32 Cal.App.3d 472, 475; International Shoe Co. v. State of Washington (1945) 326 U.S. 310; Michigan Nat. Bank v. Superior Court (1972) 23 Cal.App.3d 1, 6; Code Civ. Proc., § 410.10
A California court may exercise jurisdiction over a nonresident defendant only within the perimeters of the due process clause as delineated by the decisions of the United States Supreme Court.
Due process requires minimum contacts with the state so that maintenance of an action does not offend traditional notions of fair play and substantial justice.
From the decision · page 3(Ibid.)
The instant Petition for Reconsideration followed.
A California court may exercise jurisdiction over a nonresident defendant only within the
perimeters of the due process clause as delineated by the decisions of the United States Supreme
Court. (Martin v. Detroit Lions, Inc. (1973) 32 Cal.App.3d 472, 475, citing International Shoe Co.
v. State of Washington (1945) 326 U.S. 310 and Michigan Nat. Bank v. Superior Court (1972) 23
Cal.App.3d 1, 6; Code Civ. Proc., § 410.10.) Due process requires that a defendant have certain
minimum contacts with a state so that the maintenance of an action in the state does not offend
traditional notions of fair play and substantial justice. (McKinley v. Arizona Cardinals (2013) 78
Cal.Comp.Cases 23, 26; Buckner v. Industrial Acci. Com. (1964) 226 Cal.App.2d 619, 623).)
"[S]pecific jurisdiction is confined to adjudication of issues deriving from, or connected
with, the very controversy that establishes jurisdiction." (Bristol-Myers Squibb Co. v. Superior
Bristol-Myers Squibb Co. v. Superior Court (2017) 582 U.S. 255, 262
Specific jurisdiction is confined to adjudication of issues deriving from, or connected with, the very controversy that establishes jurisdiction.
There must be an affiliation between the forum and the underlying controversy, principally an activity or occurrence that takes place in the forum state and is subject to the state's regulation.
From the decision · page 3(Ibid.)
The instant Petition for Reconsideration followed.
A California court may exercise jurisdiction over a nonresident defendant only within the
perimeters of the due process clause as delineated by the decisions of the United States Supreme
Court. (Martin v. Detroit Lions, Inc. (1973) 32 Cal.App.3d 472, 475, citing International Shoe Co.
v. State of Washington (1945) 326 U.S. 310 and Michigan Nat. Bank v. Superior Court (1972) 23
Cal.App.3d 1, 6; Code Civ. Proc., § 410.10.) Due process requires that a defendant have certain
minimum contacts with a state so that the maintenance of an action in the state does not offend
traditional notions of fair play and substantial justice. (McKinley v. Arizona Cardinals (2013) 78
Cal.Comp.Cases 23, 26; Buckner v. Industrial Acci. Com. (1964) 226 Cal.App.2d 619, 623).)
"[S]pecific jurisdiction is confined to adjudication of issues deriving from, or connected
with, the very controversy that establishes jurisdiction." (Bristol-Myers Squibb Co. v. Superior