Sixth Circuit: Todd Courser v. Keith Allard

 

Court appropriately dismissed S1983 & S1985 claims, as the constitutional interests were not pleaded with particularity.

Court appropriately did the same to state constitutional claims, as those are limited to official-capacity claims.

Alleged CFAA violations resulted in no harm, and there is no civil c/a to enforce the criminal elements of the statute.

Defamation claim was time-barred under state SOL.

To state a claim for civil conspiracy, the underlying tort harm needs to be established -- the defts can't be implicated in a tort that requires them to be the tortfeasors by a claim of conspiracy.

Other tort and RICO claims legally or factually insufficient.

Wiretap Act time-barred.

Court appropriately set aside default judgment against one deft on equitable grounds.


Todd Courser v. Keith Allard