In re: P. B. Surf, Ltd. v. Savage
Annotate this CaseAlamo Title Company ("Alamo"), petitioned the Supreme Court for a writ of mandamus to direct the Jefferson Circuit Court to vacate its order that denied Alamo's motion to dismiss an action filed against it by P.B. Surf, Ltd., and to enter an order dismissing the action for lack of personal jurisdiction. This dispute concerned the disbursement of proceeds from the sale of the an apartment complex in Houston, Texas. According to P.B. Surf, at the time the sale was scheduled to close in late 2011, a dispute arose over who was entitled to the net proceeds of the sale and where the net proceeds were to be deposited after the closing. After the closing, Alamo wired a portion of the net proceeds from the sale to a Birmingham Wells Fargo bank account pursuant to instructions from several of the sellers. P.B. Surf sued Alamo and several other defendants, alleging, among other things, conspiracy. Alamo moved the trial court, pursuant to Rule 12(b)(2), Ala. R. Civ. P., to dismiss P.B. Surf's claims against it for lack of personal jurisdiction. In an amended complaint, P.B. Surf alleged that Alamo was partially responsible for what it alleged was the improper distribution of the proceeds among Defendants Guy Savage and Willem Noltes, and P.B. Surf. When the trial court denied its motion to dismiss, Alamo moved to reconsider which was also denied. Considering the minimum-contacts analysis in the context of specific personal jurisdiction, the Supreme Court concluded that the requisite minimum contacts for the trial court's exercise of specific jurisdiction over Alamo did not exist. Furthermore, the Court found that Alamo's contacts with Alabama were not continuous and systematic so as to support the trial court's exercise of general personal jurisdiction over Alamo. Therefore, the petition for a writ of mandamus established clear legal right to dismissal of P.B. Surf's complaint.
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