Stout v. Columbia Gas of Ohio, Inc.

2021 Ohio 609
Ohio Court of Appeals·Decided March 5, 2021·No. 2020-CA-42·Published·Cited by 1 cases

Opinion

IN THE COURT OF APPEALS OF OHIO SECOND APPELLATE DISTRICT CLARK COUNTY

WILLIAM R. STOUT :

:

Plaintiff-Appellant : Appellate Case No. 2020-CA-42 :

v. : Trial Court Case No. 2017-CV-131 :

COLUMBIA GAS OF OHIO, INC., et al. : (Civil Appeal from : Common Pleas Court)

Defendants-Appellees :

:

...........

OPINION

Rendered on the 5th day of March, 2021.

...........

JONATHAN HOLLINGSWORTH, Atty. Reg. No. 0022976, 6494 Centerville Business Parkway, Centerville, Ohio 45459 Attorney for Plaintiff-Appellant

PATRICK J. JANIS, Atty. Reg. No. 0012194, MATTHEW R. RECHNER, Atty. Reg. No. 0074446, & SARAH MANCUSO, Atty. Reg. No. 0096589, 124 West Main Street, Troy, Ohio 45373 Attorneys for Defendants-Appellees

.............

DONOVAN, J.

{¶ 1} William R. Stout appeals from the trial court’s entry of summary judgment in favor of Columbia Gas of Ohio Inc. (“CGO”), Weltman, Weinberg & Reis Co., L.P.A. (“the law firm”), and its attorney Amanda Yurechko (collectively, “Defendants”), and its denial of Stout’s motion for summary judgment. We hereby affirm the judgment of the trial court.

{¶ 2} On March 3, 2017, Stout filed a verified complaint against Defendants, alleging abuse of process, defamation, violations of the Fair Debt Collection Practices Act and the Consumer Sales Practices Act, and civil conspiracy.1 The complaint stated that CGO previously had filed a complaint against Stout in Clark C.P. No. 2016-CV-162, which had alleged that Stout owed CGO $27,300.28 for gas supplied at 501 S. Wittenberg Avenue in Springfield. In his complaint in this case, Stout asserted that he was “not a customer of [CGO] receiving gas services” at the Wittenberg Avenue address, that the gas bill attached to CGO’s complaint in Case No. 2016-CV-162 identified CGO’s customer as “Inside Out,” and that CGO had billed Inside Out at the Wittenberg address (rather than Stout) demanding payment of the balance.

{¶ 3} Stout’s complaint stated that, at all relevant times, Stout was not a CGO customer and his address was 515 S. Fountain Avenue in Springfield. Stout’s complaint further stated that: 1) CGO’s complaint in the previous case had alleged that Stout was “[doing business as] Inside Out”; 2) Inside Out was “not an entity registered in the State of Ohio”; 3) a “cursory review” of the records of the Ohio Secretary of State, which are available online, “irrefutably demonstrates that Inside Out is an Ohio corporation for non-

1 Only Stout’s claims for abuse of process, defamation, and civil conspiracy are the subjects of his appeal.

profit (entity number 1039846),” which was formed as Resurrected Life Ministries in 1998 and changed its name to Inside Out in 2002; 4) Inside Out was a corporation “in good standing” at the time CGO filed its lawsuit against Stout; and 5) the Secretary of State’s records reflect that Inside Out’s business address was 501 S. Wittenberg Avenue, that same address that appeared on the disputed account with CGO.

{¶ 4} Stout’s complaint further alleged that, prior to and since CGO’s lawsuit against Stout, CGO and its attorney Yurechko had repeatedly been advised of the “undeniable fact” that Inside Out, with whom CGO had a service agreement, was “an Ohio corporation for non-profit and that it [was] not a fictitious name used by Plaintiff.” According to the complaint, the Defendants had “propounded discovery requests upon [Stout], improperly seeking information and documents from [him] relating to Inside Out and Inside Out Youth Homes under the guise that Defendants are trying to ascertain [Stout’s] ownership or membership interest in either or both entities,” when CGO had produced no evidence in the 2016 litigation to establish Stout’s personal liability for gas services rendered at 501 S. Wittenberg Avenue. Further, the complaint stated that Defendants, individually and collectively, had “pursued Stout on this debt because they believe[d] that the underlying transaction giving rise to the debt and subsequent lawsuit was personal in nature,” that Defendants had refused to dismiss their suit against Stout, and that he had incurred, and continued to incur, “substantial legal fees and expenses defending himself in a frivolous and meritless lawsuit.”

{¶ 5} Count I of Stout’s complaint, alleging abuse of process, states in part:

18. Defendants set in motion a legal proceeding in an attempt to accomplish an ulterior purpose for which it was not designed, i.e. attempting

to have Plaintiff pay Inside Out’s gas bill, after Defendants ha[d] been given proof that Plaintiff is not [CGO’s] customer and is otherwise not legally liable on the account/debt for services rendered at 501 S. Wittenberg Ave.

19. As such, Defendants have attempted, and continue to attempt, to achieve through use of the court that which the court is powerless to order.

{¶ 6} CGO’s 2016 complaint against Stout was attached to Stout’s complaint as Exhibit A. CGO’s complaint included the following pertinent statements:

2. Defendant, William Stout dba Inside Out, operated, used, occupied, and/or conducted activities at 501 S[.] Wittenberg Ave[.], Springfield, OH 45506 (“Property”) and benefitted from Plaintiff’s supply of gas service to the Property.

3. Upon information and belief, “Inside Out” is not an entity registered in the State of Ohio and as such Defendant, William Stout, is personally liable acting on its behalf under Ohio Agency Law.

4. Defendant, William Stout dba Inside Out, is indebted to Plaintiff, [CGO], for gas supplied to the Property on the account established for service and/or pursuant to unjust enrichment.

5. Defendant, William Stout dba Inside Out, is indebted to Plaintiff [CGO], for gas supplied to Defendant on the Property in the amount of $27,300.28.

Attached to CGO’s complaint was a gas bill in the amount of $27,300.28, due by July 14, 2015, which identified “Inside Out” as the customer at the Wittenberg Avenue address.

{¶ 7} Also attached to Stout’s complaint as Exhibit B was a State of Ohio Certificate with a charter/registration number of 1039846. The certificate stated: “It is

hereby certified that the Secretary of State has custody of the business records for Inside Out and, that said business records show the filing and recording of: Domestic/Reinstatement 201133200601.” The following page stated that Inside Out was “cancelled” on October 27, 2011 and reinstated on November 18, 2011.

{¶ 8} On April 3, 2017, Defendants filed a motion to dismiss Stout’s complaint with prejudice for failure to state a claim upon which relief can be granted. Defendants asserted that Stout lacked standing to raise these claims, because “he was never sued in the capacity in which he now seeks to bring this action”; specifically, Defendants alleged that Stout was only liable for the debt “to the extent he was acting in an agency capacity for ‘Inside Out’ when the debts were incurred.” Defendants asserted that “probable cause [was] an essential element of an abuse of process claim,” and Stout’s failure to allege probable cause was fatal to his claim. Defendants also asserted that the defamation claim was barred by the doctrine of absolute privilege and that there was no “underlying unlawful act” to support Stout’s claim for civil conspiracy.

{¶ 9} Stout filed a memorandum in opposition to Defendants’ motion to dismiss, and Defendants then filed a reply brief. On October 12, 2017, the trial court overruled the motion to dismiss without any analysis. Defendants subsequently filed an answer to Stout’s complaint.

{¶ 10} On April 23, 2018, Defendants sought a protective order to prevent their depositions from going forward; Stout opposed the motion. On May 18, 2018, the court consolidated Case Nos. 2016-CV-162 and 2017-CV-131; the matter was thereafter assigned to a different judge.

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Stout v. Columbia Gas of Ohio, Inc., 2021 Ohio 609 (Ohio Ct. App. 2021).

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