564 U.S. 873 (2011)
The case of J. McIntyre Machinery, Ltd.
Does a foreign manufacturer have sufficient minimum contacts with a forum state to establish personal jurisdiction when its product is sold through an independent distributor in that state?
The Supreme Court's ruling in J. McIntyre Machinery v. Nicastro refined the application of the stream of commerce theory in determining personal jurisdiction. The Court held that mere placement of a product into the stream of commerce is insufficient to establish jurisdiction; instead, there must be an intention to serve the market of the forum state. This means that a foreign manufacturer must take deliberate actions to engage with the forum state to be subject to its jurisdiction.
The Supreme Court held, in a 6-3 decision, that J. McIntyre Machinery was not subject to personal jurisdiction in New Jersey. The majority opinion, delivered by Justice Anthony Kennedy, reasoned that the company did not have sufficient contacts with the state to justify the exercise of jurisdiction. The Court concluded that the mere fact that a product ends up in a state does not automatically confer jurisdiction unless the manufacturer has purposefully availed itself of the benefits of that state's market.
J. McIntyre Machinery v. Nicastro has significant implications for law students and practitioners, particularly in the area of personal jurisdiction. The case clarifies the standards for establishing jurisdiction over foreign manufacturers, emphasizing the necessity of purposeful availment. This decision has influenced subsequent cases and legal interpretations regarding the stream of commerce theory, prompting courts to scrutinize the connections between defendants and the forum states more rigorously.