Nelson v. Phillips
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Justin Nelson filed a lawsuit against his former mother-in-law, Traci Phillips, former sister-in-law, Ashley Phillips, and other friends and family of his deceased wife, Tiffani Nelson. Justin alleged that Traci, Ashley, and the other defendants conspired to defame him by suggesting he was responsible for Tiffani’s death. None of the defendants reside in Utah, and each moved to dismiss the complaint for lack of personal jurisdiction. They provided sworn statements denying the allegations, while Justin relied solely on his complaint’s allegations without submitting counter-evidence.
The Fifth District Court in Washington County, Utah, denied the motions to dismiss. The court concluded that Justin had sufficiently alleged facts that, if proven, would demonstrate a conspiracy to defame him, thus establishing personal jurisdiction over the defendants. For Traci and Ashley, the court found that their personal contacts with Utah were sufficient to assert specific personal jurisdiction.
The Utah Supreme Court reviewed the case. The court dismissed the petitions for interlocutory review filed by Traci and Ashley as improvidently granted, as the lower court had not ruled on the conspiracy theory of jurisdiction for them. The court reversed the lower court’s denial of the motions to dismiss for the other defendants, finding that Justin failed to meet his burden of providing evidence to support his allegations once the defendants had submitted sworn statements contradicting his claims. The court emphasized that without evidence to support the allegations, the district court could not assert jurisdiction based on a conspiracy theory. The case was remanded for further proceedings consistent with this opinion.
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