Philip Edwardo v. The Roman Catholic Bishop, et al, No. 22-0278 (2d Cir. 2023)
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Plaintiff alleged that he was sexually abused and exploited from approximately 1978 to 1984, when he was between 12 and 17 years old, by Father P.M., a now-deceased Rhode Island priest. Plaintiff sued the Roman Catholic Bishop of Providence (“RCB”), St. Anthony’s Church Corporation North Providence (“St. Anthony’s”), and a retired Bishop (together, “Defendants”) for various torts based on Defendants’ alleged role in enabling the abuse. The district court dismissed for lack of personal jurisdiction, finding that New York’s long-arm statute did not permit the court to exercise personal jurisdiction over Defendants.
The Second Circuit affirmed. The court concluded that the district court correctly dismissed the case for lack of personal jurisdiction. First, P.M. did not commit the alleged sexual abuse in New York as an agent of Defendants. Second, the alleged conduct is unrelated to Defendants’ business activities in New York. The court explained that Plaintiff argued that the nexus requirement is satisfied because Defendants’ alleged business activity, conducted through P.M., was the “factual cause” of P.M.’s sexual assault of “Plaintiff in New York.” But a chain of causation involving physical presence in New York does not, by itself, create a nexus between an otherwise unrelated tort claim and a business transaction.
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