Svensen v. Hester
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During the COVID-19 pandemic, John Svensen wrote a check to Jeff Hester's company, Ginesis, for several thousand bottles of hand sanitizer. The check bounced, leading Ginesis to sue Svensen and his company, Marketpointe, for the owed money. After a series of legal proceedings, Hester pressed charges against Svensen for the bad check, resulting in Svensen's arrest. The Lauderdale Circuit Court later dismissed the criminal complaint due to the statute of limitations, and Svensen subsequently sued Hester for malicious prosecution.
The Lauderdale Circuit Court initially entered a default judgment against Svensen and Marketpointe for failing to answer Ginesis's complaint. After Svensen successfully vacated the default judgment, the court set a bench trial. However, Svensen did not appear, leading to another default judgment against him. After Svensen provided an excuse, the court vacated the default judgment and reset the trial. Meanwhile, Hester, on the advice of his attorney, took the bounced check to the Lauderdale County Sheriff's Department, leading to Svensen's arrest.
The Supreme Court of Alabama affirmed the circuit court's summary judgment in favor of Hester. The court found that Hester had probable cause to believe that Svensen had committed the crime of negotiating a worthless negotiable instrument, as it is a crime in Alabama to knowingly write someone a bad check. The court rejected Svensen's argument that Hester lacked probable cause because the one-year statute of limitations for misdemeanor offenses had expired. The court reasoned that the expiration of the limitations period does not affect whether the defendant actually committed the offense charged.
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