The Oyez Project Virtual Tour of the Supreme Court Building

Abstract

Granted: Tuesday, September 26, 2006
Argument: Tuesday, January 9, 2007
Decision: Monday, March 5, 2007
Issues: Judicial Power, Jurisdiction of Federal Courts

Advocates

Ann-Michele G. Higgins (argued the cause for Respondent)
Douglas Hallward-Driemeier (argued the cause for Petitioner)
Gregory A. Castanias (on behalf of Petitioner)

Facts of the Case

Malaysia International Shipping Corporation (MISC) owned a vessel carrying steel coils for Sinochem International, a Chinese company. Sinochem brought an action in Chinese Admiralty Court, alleging that MISC had backdated documents pertaining to the loading of the cargo, and seeking to have the ship detained in China. MISC filed suit in a Pennsylvania district court, accusing Sinochem of fraudulent misrepresentation. Sinochem argued that the U.S. had no personal jurisdiction over the Chinese company, but the District Court declined to rule on the issue. Instead the court dismissed the suit on grounds of "forum non conveniens," which means that the case could be more conveniently tried in another forum, in this case the Chinese Admiralty Court.

On appeal, the U.S. Court of Appeals for the Third Circuit reversed, ruling that the lower court should have first ruled on the jurisdictional issue. The Third Circuit acknowledged the inconvenience of determining jurisdiction before dismissing the case anyway, but nevertheless sent the case back to the District Court.

Question

Does a district court have to establish its jurisdiction over a case before dismissing the suit on the ground that it should be argued in another court that is more convenient for the parties ("forum non conveniens")?

Conclusion

No. The Court ruled 9-0 that "a court need not resolve whether it has [...] personal jurisdiction over the defendant if it determines that [...] a foreign tribunal is plainly the more suitable arbiter of the merits of the case." The opinion by Justice Ruth Bader Ginsburg held that while the first step of a court is normally to determine whether it has jurisdiction, a court can dismiss a case for forum non conveniens without establishing subject-matter or personal jurisdiction. The Court held that determination of jurisdiction is only important when there is a chance that the court will rule on the merits of the case. When it is clear that the case would be more conveniently tried in a foreign court, a court should immediately dismiss for forum non conveniens rather than undergo a burdensome and unnecessary determination of jurisdiction before dismissing the case anyway.

Supreme Court Justice Opinions and Votes (by Ideology)

Sort by Seniority
(More information here)
Decision: 9 votes for Sinochem International Co., 0 vote(s) against
Voted with the majority
Stevens
Voted with the majority
Souter
Wrote the majority opinion
Ginsburg
Voted with the majority
Breyer
Voted with the majority
Kennedy
Voted with the majority
Roberts
Voted with the majority
Alito
Voted with the majority
Scalia
Voted with the majority
Thomas
Full Opinion by Justice Ruth Bader Ginsburg

Cite this page

The Oyez Project, Sinochem International Co. v. Malaysia International Shipping Corporation, 549 U.S. ___ (2007),
available at: <http://www.oyez.org/cases/2000-2009/2006/2006_06_102/>
(last visited ).