Cooperton V. Bazinga Case Study

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A. Cooperton alleged a bare procedural violation that is insufficient to satisfy the concrete injury portion of the injury-in-fact requirement for standing. 1. Bazinga committed a bare procedural violation of the TCPA. Bazinga’s procedural violation of the TCPA mirrors the bare procedural violation found insufficient to establish a concrete injury in Spokeo. Id. A concrete injury must be “de facto,” that is, it must actually exist. Id. To determine whether an alleged intangible harm constitutes an injury-in-fact, it is necessary to consider precedent and congressional intent. Id. In Spokeo, the Supreme Court considered the FCRA, designed to protect consumers from having inaccurate information about them published on the Internet. The FCRA required

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