It’s helpful at times to be reminded that the issue of whether a plaintiff has standing or not to pursue a case in federal court is not always up to the parties. Judges can decide whether to keep a case in federal court or remand it back to state court on their own, whether the parties want it remanded or not. A District Court judge in New York has remanded a case back to state court — where it was originally filed — even though the plaintiff withdrew her motion to remand, ruling that the plaintiff lacked standing to pursue her claims in federal court.
The background: The case was originally filed in New York Supreme Court against multiple defendants, alleging violations of the Fair Debt Collection Practices Act for allegedly communicating false information to the credit reporting agencies. One defendant, with the consent of all other involved parties, filed a notice of removal to move the case to federal court. The plaintiff subsequently moved to have the case remanded back to state court, arguing that she lacked standing to sue in federal court based on recent interpretations of constitutional standing requirements before withdrawing that motion and opting to keep the case in federal court.
The ruling: Judge Jesse M. Furman of the District Court for the Southern District of New York ultimately ruled that the plaintiff lacked Article III standing, citing that the alleged harm was not sufficiently concrete to meet federal standing requirements.
- The plaintiff had claimed emotional distress, including anxiety, frustration, and other negative emotions, stemming from the defendants’ debt collection activities. The court found these claims to be “perfunctory” and insufficiently concrete, especially given the standards set forth by the Supreme Court in TransUnion LLC v. Ramirez. According to the court, emotional distress alone, without a clear and concrete harm, does not constitute an “injury in fact” that would confer standing in federal court.
- Moreover, the plaintiff’s allegations regarding the defendants’ communication of incorrect information to third parties were deemed too vague to support standing. The court pointed out that simply alleging that information was disseminated to “various persons and creditors” without specifying details did not satisfy the requirement for a concrete injury. Ultimately, due to the lack of standing, the judge ordered that the case be remanded back to the state court where it was originally filed.