Sciaroni v. Target Corp.

by
These consolidated appeals stem from a class action suit against Target after the retailer announced a security breach by third-party intruders that compromised the payment card data and personal information of millions of customers. Class member Leif Olson challenges the class certification for lack of adequate representation due to an alleged intraclass conflict; class member Jim Sciaroni challenges the district court’s approval of the settlement agreement; and both challenge the district court’s order requiring them to post a bond of $49,156 to cover the costs of this appeal. The court held that the district court abused its discretion by failing to rigorously analyze the propriety of certification, especially once new arguments challenging the adequacy of representation were raised after preliminary certification. Therefore, the court remanded for the district court to conduct and articulate a rigorous analysis of Federal Rule of Civil Procedure 23(a)'s certification prerequisites as applied to this case. The court also concluded that costs associated with delays in administering a class action settlement for the length of a class member’s appeal may not be included in an appeal bond under Federal Rule of Appellate Procedure 7. Therefore, the court reversed and remanded for the district court to reduce the Rule 7 bond to reflect only those costs that Appellees will recover should they succeed in any issues remaining on appeal following the district court’s reconsideration of class certification. View "Sciaroni v. Target Corp." on Justia Law