A District Court judge in Ohio has granted a defendant’s motion to dismiss in a case involving allegations of wrongful garnishment and violations of the Ohio Consumer Sales Practices Act (CSPA). The plaintiff claimed that the defendant wrongfully obtained a default judgment and garnished her wages based on incorrect service of process and that her wages were exempt from garnishment under Ohio law. The court ruled that the plaintiff’s claims were either time-barred or failed to state a claim upon which relief could be granted.
The Background: The plaintiff received a default judgment from the defendant in a municipal court case in Cleveland, Ohio, in 2019. The debt in question was $3,611.46, which the defendant sought to collect through garnishment. The plaintiff claimed that the defendant used an incorrect service address, resulting in her not being properly notified of the legal proceedings. The address did not include the plaintiff’s apartment number, which the defendant knew because it was on the account statement attached to the complaint. This led to her wages being garnished without her knowledge until 2024, when she learned that her income should have exempted her from such garnishment.
- The plaintiff filed a complaint this February, accusing the defendant of violating the CSPA by using a known incorrect service address and improperly garnishing her wages. She also claimed that the defendant violated Ohio state law and the Federal Consumer Credit Protection Act by garnishing exempt wages. Additionally, she sought damages for “wrongful garnishment.”
The Ruling: Unfortunately for the plaintiff, the CSPA only has a two-year statute of limitations, and Judge Pamela A. Barker of the District Court for the Northern District of Ohio did not agree with the plaintiff’s argument that every time her wages were garnished, the statute of limitations clock restarted. The court concluded that each subsequent disbursement of garnished wages was merely an effect of the initial act and not a new violation, rendering the claim outside the limitations period.
- The court also dismissed the plaintiff’s claim that the defendant garnished wages that were exempt from garnishment, ruling that the statute does not provide a private cause of action. The judge emphasized that Ohio courts have not recognized a private right of action under this statute, and the plaintiff failed to demonstrate a clear legislative intent to create such a remedy.
- Lastly, Judge Barker dismissed the plaintiff’s claim for wrongful garnishment, stating that Ohio law does not recognize a standalone claim for wrongful garnishment. The judge suggested that the plaintiff’s claim was more akin to a claim for malicious prosecution, which requires proof that the underlying lawsuit ended in the plaintiff’s favor and that the defendant lacked probable cause to file the lawsuit. The plaintiff did not allege these elements.