Portfolio Recovery Assoc v. MacDonald

After review of the documents and affidavits proffered in support of Plaintiff Portfolio Recovery Associates, LLC’s (“PRA”) position, the Idaho Supreme Court concluded they did not contain adequate foundation and were not admissible under the business records exception to the hearsay rule. PRA sued Defendant Lloyd MacDonald for an amount owed on a Citibank credit card account. MacDonald filed a motion for summary judgment, arguing that PRA did not have standing to bring this action because it could not prove that the debt had been assigned by Citibank to PRA. MacDonald objected to the evidence PRA submitted to support its position, arguing that the evidence was inadmissible hearsay and lacked adequate foundation. The magistrate court overruled MacDonald’s objections and granted summary judgment in favor of PRA. MacDonald appealed to the district court. The district court affirmed the magistrate court’s decision. The Supreme Court found that even the catch-all exception to the hearsay rule could not be used to admit some of the documents. The decision to grant summary judgment in favor of PRA was reversed and the matter remanded for further proceedings. View "Portfolio Recovery Assoc v. MacDonald" on Justia Law