Yamashita v. LG Chem, Ltd
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In this opinion, the Supreme Court answered two certified questions from the United States Court of Appeals for the Ninth Circuit concerning the relationship between Hawaii's general long-arm statute, Haw. Rev. Stat. 634-35, and the personal jurisdiction limitations of the Fourteenth Amendment's due process clause.
Plaintiff, a Hawaii resident, brought a product liability action against two out-of-state corporations in Hawai'i state court. The suit was removed to the United States District court for the District of Hawaii, which dismissed the case for lack of jurisdiction because Plaintiff's claims did not "arise out of" Defendants' activities. The Ninth Circuit certified questions to the Supreme Court regarding the reach of Hawaii's long-arm statute. The Supreme Court answered (1) a Hawaii court may assert personal jurisdiction over an out-of-state corporate defendant if the plaintiff's injury "relates to" but does not "arise from" the defendant's in-state acts enumerated in Hawaii's general long-arm statute; and (2) a Hawaii court may assert personal jurisdiction to the full extent permitted by the Due Process Clause of the Fourteenth Amendment in light of Ford Motor Co. v. Mont. Eighth Judicial District Court, 141 S.Ct. 1017 (2021).
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