Brief Fact Summary. Plaintiff and Defendant, formerly husband and wife, were involved in substantial divorce litigation in New York state courts until 1972, when final judgment was affirmed by the Appellate Division. Two years later, Defendant brought suit to attack the final judgment, claiming that it was void because the Supreme Court (trial court in New York) did not have subject matter jurisdiction. Defendant claims that because Plaintiff had not met the residency requirements when the action started, the court lacked subject matter jurisdiction.
Synopsis of Rule of Law. Unless an issue is clearly one of subject matter jurisdiction, it is one of procedural or substantive law that a court of general jurisdiction can evaluate and bind parties thereto.
Issue. Did the Supreme Court have the competence to enter a divorce decree that would bind the parties?
Held. Yes. When attacking a judgment after it was rendered for lack of subject matter jurisdiction, the attacking party must prove that the court was not competent to determine the cause of action. In courts of general jurisdiction, the court’s power to decide the merits of certain issues is an issue that should be raised during the case. The decision rendered during the case is binding on the parties. Unless specifically proscribed, a court has a right to decide the merits of the case. In this case, the court evaluated Plaintiff’s residence and determined it sufficient. Furthermore, the Supreme Court was not specifically proscribed from making this evaluation, so its judgment should not have been overturned by the Special Term.
Discussion. State courts are courts of general jurisdiction. Therefore, collateral attacks on the judgment based on lack of subject matter jurisdiction are not valid unless there is a law specifically limiting the court’s jurisdiction.