Plaintiffs, a group of individuals harmed in the 9/11 terrorist attacks, brought tort claims for damages incurred during that attack against thirty-two distinct defendants. The U.S. District Court for the Southern District of New York dismissed the charges against seven of the thirty-two defendants, including the Kingdom of Saudi Arabia, a Saudi government charity, and several Saudi princes, concluding that none of the Foreign Sovereign Immunities Act (FSIA) exceptions (which would allow suit to proceed against sovereigns or diplomats) were applicable in those cases. On appeal, the Second Circuit affirmed the lower court’s decision and further dismissed the case against a Saudi banker for lack of personal jurisdiction.