The U.S. Supreme Court in Calder v. Jones held that the "minimum contacts" due process requirement for personal jurisdiction could be satisfied on the basis of the "effects" that out-of-state conduct had in the forum state. The Court held that a California court could assert jurisdiction over a Florida publisher for publishing an article defaming a California plaintiff when the defendant's act was an intentional action expressly aimed at California and that the "brunt of the injury would be felt" by the plaintiff in California.
| Attributes | Values |
|---|---|
| rdfs:label |
|
| rdfs:comment |
|
| dcterms:subject | |
| abstract |
|