United States Seventh Circuit
Casillas v. Madison Avenue Associates, Inc., 17‐3162
Held that a plaintiff lacked legal standing to sue a debt collector over missing information in a debt collection letter, which failed to mention that any dispute over the debt must be submitted in writing. Because she did not allege that the omission caused her harm, there was no Article III injury, so it was proper to dismiss her proposed class action lawsuit. (Three judges dissented from the denial of en banc consideration.)
Appellate Information
- Published 2019/06/04
Judges
- Barrett
Court
- United States Seventh Circuit