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No. 8699768
United States Court of Appeals for the Ninth Circuit

Elghasen v. RBS Computer, Inc.

No. 8699768 · Decided July 3, 2017
No. 8699768 · Ninth Circuit · 2017 · FlawFinder last updated this page Apr. 2, 2026
Case Details
Court
United States Court of Appeals for the Ninth Circuit
Decided
July 3, 2017
Citation
No. 8699768
Disposition
See opinion text.
Full Opinion
MEMORANDUM ** Saleh Elghasen appeals the District Court’s order dismissing his lawsuit for lack of personal jurisdiction pursuant to Federal Rule of Civil Procedure 12(b)(2). He contends that the District Court may exercise specific jurisdiction over his case because RBS had contacts with Nevada that gave rise to his injury, including its reporting his credit information to Experi-an, doing business with Nevada entities, and directing a Nevada bankruptcy court to send proof-of-claim notices to its Texas address. We have jurisdiction pursuant to 28 U.S.C. § 1291 and will affirm. We review the District Court’s order de novo. Boschetto v. Hansing, 539 F.3d 1011, 1015 (9th Cir. 2008). However, Elghasen “bears the burden of demonstrating that jurisdiction is appropriate.” Schwarzenegger v. Fred Martin Motor Co., 374 F.3d 797, 800 (9th Cir. 2004). The District Court properly concluded that it lacked personal jurisdiction over RBS. RBS does not conduct business in Nevada, own property in Nevada, have employees who work in Nevada, or direct communications to Nevada. Contrary to Elghasen’s assertions, it was Family Finance, not RBS, that directed the Nevada bankruptcy court to send proof-of-claim notices to RBS’s address in Texas. Corporate separateness is a basic tenet of American corporate law, and since Elghasen has not established that RBS and Family Finance are affiliated—let alone- argued why we should pierce the veil separating them—we will not impute Family Finance’s contact with the bankruptcy court *941 to RBS. See Ranza v. Nike, Inc., 793 F.3d 1059, 1070-71 (9th Cir. 2015). Taking that purported contact away, the only substantial contact Elghasen alleges between Nevada and RBS that relates to his claims is that RBS misreported the credit information of an individual it knew was a Nevada resident. Elghasen, however, has not shown that RBS knew he was a Nevada resident, and regardless, the Supreme Court’s decision in Walden v. Fiore, — U.S. —, 134 S.Ct. 1115 , 188 L.Ed.2d 12 (2014), establishes that this sort of contact is insufficient to establish personal jurisdiction. Id. at 1125'(“Petitioner’s actions in Georgia did not create sufficient contacts with Nevada simply because he allegedly directed his conduct at plaintiffs whom he knew had Nevada connections.”). The conduct that gave rise to Elghasen’s alleged injury is RBS’s act of sending inaccurate information from its office in Texas to Experian, an entity with no Nevada offices. Thus Walden controls; RBS’s “relevant conduct occurred entirely” outside Nevada and “the mere fact that [its] conduct affected plaintiffs with connections to the forum State does not suffice to authorize jurisdiction.” Id. at 1126 . AFFIRMED. This disposition is not appropriate for publication and is not precedent except as provided by 9th Cir. R. 36-3.
Plain English Summary
MEMORANDUM ** Saleh Elghasen appeals the District Court’s order dismissing his lawsuit for lack of personal jurisdiction pursuant to Federal Rule of Civil Procedure 12(b)(2).
Key Points
Frequently Asked Questions
MEMORANDUM ** Saleh Elghasen appeals the District Court’s order dismissing his lawsuit for lack of personal jurisdiction pursuant to Federal Rule of Civil Procedure 12(b)(2).
FlawCheck shows no negative treatment for Elghasen v. RBS Computer, Inc. in the current circuit citation data.
This case was decided on July 3, 2017.
Use the citation No. 8699768 and verify it against the official reporter before filing.
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