A Florida state Appeals Court has reversed a lower court’s dismissal of a collection lawsuit filed by a debt buyer against an individual, ruling the lower court applied the incorrect law when the plaintiff was unable to serve the defendant with a summons and complaint.
The Background: The plaintiff, a debt buyer, filed a small claims action against the defendant on September 8, 2022, seeking to recover an unpaid debt. On May 2, 2023, the case was dismissed after both parties failed to appear for a pretrial conference. The plaintiff subsequently filed a motion to set aside the dismissal, attributing its absence to a clerical error. The trial court granted this motion on June 15, 2023, allowing the plaintiff an additional 45 days to serve the defendant.
However, the plaintiff failed to serve the defendant within this extended timeframe. Consequently, on October 4, 2023, the trial court dismissed the case with prejudice, citing the plaintiff’s failure to effectuate service within the statutory 120-day deadline and their non-compliance with the court’s order from June 15, 2023. The plaintiff’s Motion for Rehearing was denied, prompting this appeal.
The Ruling: The appellate court’s analysis highlighted two critical errors by the trial court. First, it noted that the lower court improperly applied Florida Rule of Civil Procedure 1.070(j), which mandates service of process within 120 days and provides for dismissal without prejudice if not complied with. Instead, the appropriate rule for small claims cases, Florida Small Claims Rule 7.110(e), requires six months of inactivity before dismissal for failure to prosecute, and mandates a 30-day notice period before such a dismissal.
- The appellate court found that only four months had elapsed between the plaintiff’s last activity (the motion to set aside the dismissal) and the trial court’s order of dismissal. Additionally, the trial court failed to issue the required notice of its intent to dismiss for failure to prosecute.
- Second, regarding the dismissal with prejudice for failure to comply with the court’s order, the appellate court pointed out that the trial court did not follow the procedural requirements established in Kozel v. Ostendorf. According to Kozel, dismissing a case with prejudice for non-compliance with a court order requires specific findings on whether the non-compliance was willful, whether it caused prejudice to the opposing party, and whether lesser sanctions would be effective.
- The appellate court concluded that the trial court’s lack of express findings on these factors necessitated the reversal of the dismissal with prejudice. The case has been remanded for further proceedings consistent with the correct application of the law and the proper consideration of the Kozel factors.