592 U.S. ___ (2021)
The Ford Motor Co. v.
Does a state court have specific personal jurisdiction over a nonresident defendant when the defendant has substantial business operations within the state, including the sale of products of the same model as those involved in the litigation, even if the particular products were not sold directly in the forum state?
For a state to exercise specific personal jurisdiction consistent with the Due Process Clause, a defendant must have 'minimum contacts' with the forum state, and the litigation must arise out of or relate to those contacts.
The Supreme Court held that Montana and Minnesota courts could exercise specific personal jurisdiction over Ford Motor Company because the company had systematically served a market in the forum states for the very vehicles, including advertising, selling, and servicing those models, directly related to the litigation.
This case is significant for law students as it highlights the evolving doctrine of personal jurisdiction, clarifying the 'relatedness' requirement in the context of specific jurisdiction. It distinguishes between the origin of specific contacts and their qualitative connection to forum-state activities. Ford's case underscores the Supreme Court's willingness to interpret the nexus between a defendant’s forum activities and the causes of action flexibly, considering contemporary business realities.