Absolute Business Solutions, Inc. et al v. Mortgage Electronic Registration Sys. Inc (MERS) et al
Filing
75
ORDER granting ECF No. 68 Motion to Substitute Party : Joel A. Stokes and Sandra E. Stokes substituted and joined as counter-defendants. Signed by Judge Robert C. Jones on 4/11/2017. (Copies have been distributed pursuant to the NEF - DRM)
1
2
3
4
5
6
7
8
9
10
11
12
WRIGHT, FINLAY & ZAK, LLP
Dana Jonathon Nitz, Esq.
Nevada Bar No. 0050
Christina V. Miller, Esq.
Nevada Bar No. 12448
7785 W. Sahara Avenue, Suite 200
Las Vegas, NV 89117
Tel: (702) 475-7964; Fax: (702) 946-1345
dnitz@wrightlegal.net; cmiller@wrightlegal.net
Attorneys for Defendant/Defendant-in-Intervention/Counterclaimant Federal National Mortgage
Association
Leslie Bryan Hart, Esq. (SBN 4932)
John D. Tennert, Esq. (SBN 11728)
FENNEMORE CRAIG, P.C.
300 E. Second St., Suite 1510
Reno, Nevada 89501
Tel: 775-788-2228 Fax: 775-788-2229
lhart@fclaw.com; jtennert@fclaw.com
Attorneys for Intervenor/Counterclaimant Federal Housing Finance Agency
13
14
UNITED STATES DISTRICT COURT
DISTRICT OF NEVADA
15
16
ABSOLUTE BUSINESS SOLUTIONS, INC.,
a Delaware Corporation,
Case No.: 2:15-cv-01325-RCJ-NJK
17
18
19
20
21
22
23
24
25
26
27
Plaintiff,
FEDERAL NATIONAL MORTGAGE
ASSOCIATION’S AND FEDERAL
vs.
HOUSING FINANCE AGENCY’S
JOINT MOTION TO SUBSTITUTE
MORTGAGE ELECTRONIC REGISTRATION AND JOIN AS COUNTERSYSTEM, an Illinois Corporation; BANK OF
DEFENDANT JOEL A. STOKES AND
AMERICA, N.A., AS SUCCESSOR BY
SANDRA F. STOKES AS TRUSTEES
MERGER TO BAC HOME LOANS
OF THE JIMIJACK IRREVOCABLE
SERVICING, LP, a Texas Corporation; IRMA
TRUST, PURSUANT TO FED. R. CIV.
MENDEZ, an individual; FEDERAL
P. 25(c)
NATIONAL MORTGAGE ASSOCIATION, a
government sponsored enterprise; DOES 1
through 25 inclusive; and ROE
CORPORATIONS, 1 through X, inclusive,
Defendants.
28
Page 1 of 10
1
ALESSI & KOENIG, LLC, a Nevada Limited
Liability Company,
2
Plaintiff in Intervention,
3
4
5
6
7
8
9
10
11
vs.
IRMA MENDEZ, an Individual; JAMES M.
McCORD, an Individual; BANK OF
AMERICA, N.A., AS SUCCESSOR BY
MERGER TO BAC HOME LOANS
SERVICING, LP, FKA COUNTRYWIDE
HOME LOANS SERVICING, LP, a national
banking association; CROSSBOX, an unknown
entity; FEDERAL NATIONAL MORTGAGE
ASSOCIATION, a government sponsored
enterprise; DOE INDIVIDUALS I through X,
inclusive; and ROE CORPORATIONS, I
through X, inclusive,
12
13
Defendants in Intervention.
and
14
15
16
17
18
19
FEDERAL HOUSING FINANCE AGENCY, as
Conservator or Federal National Mortgage
Association,
Intervenor.
FEDERAL NATIONAL MORTGAGE
ASSOCIATION; and FEDERAL HOUSING
FINANCE AGENCY, as Conservator of Federal
National Mortgage Association,
20
Counterclaimants,
21
22
23
24
25
vs.
ABSOLUTE BUSINESS SOLUTIONS, INC.,
Counter-Defendant.
Intervenor Defendant/Defendant-in-Intervention/Counterclaimant, Federal National
26
Mortgage Association (“Fannie Mae”), by and through its counsel of record, Dana Jonathon
27
Nitz, Esq., and Christina V. Miller, Esq., of the law firm Wright, Finlay & Zak, LLP and
28
Intervenor Defendant/Counterclaimant, Federal Housing Finance Agency (“FHFA”), by and
Page 2 of 10
1
through its counsel of record, Leslie Bryan Hart, Esq. and John D. Tennert, Esq., of the law firm
2
Fennemore Craig, P.C., jointly submits this Motion to Substitute and Join as Counter-Defendant
3
Joel A. Stokes and Sandra F. Stokes as Trustees of the Jimijack Irrevocable Trust, Pursuant to
4
Fed. R. Civ. P. 25(c) (“Motion”), in order to substitute, in part, and join, in part, the current
5
record owner of the subject property, Joel A. Stokes and Sandra F. Stokes as Trustees of the
6
Jimijack Irrevocable Trust (collectively referred to herein as “Jimijack Trust”).
7
8
MEMORANDUM OF POINTS AND AUTHORITIES
I.
INTRODUCTION
9
FHFA and Fannie Mae seek relief from this Court to substitute Jimijack Trust in place
10
and stead of Plaintiff Absolute Business Solutions, Inc. (“ABS”) with respect to the Quiet Title
11
and Declaratory Relief causes of action alleged in Fannie Mae’s Answer and Counterclaim [ECF
12
No. 9] and the Quiet Title, Declaratory Relief and Preliminary Injunction causes of action
13
alleged in FHFA’s Answer and Counterclaim [ECF No. 18], and (ii) to join Jimijack Trust as a
14
Counter-Defendant with respect to Fannie Mae’s Counterclaim for Unjust Enrichment [ECF
15
No.9]. Jimijack Trust is the current owner of record of the subject property, and, consequently,
16
any quiet title judgment in this action should be entered against the current record owner.
17
This case involves the validity of a homeowner’s association foreclosure sale on February
18
26, 2014 (the “HOA Sale”) against the real property commonly described as 3416 Casa Alto
19
Ave., Las Vegas, Nevada 89031 and designated by APN: 124-29-314-081 (“Property”). ABS is
20
the third-party entity that purchased the Property as at the HOA Sale. ABS filed the instant
21
action seeking to quiet title in its favor. As discussed in further detail below, since litigation
22
commenced, ownership of the Property has allegedly been transferred to Jimijack Trust. As
23
such, Jimijack Trust is the proper party-in-interest to the pending litigation and should be
24
substituted in place and stead of ABS as to Fannie Mae’s Counterclaims for Quiet Title and
25
Declaratory Relief and FHFA’s Counterclaims for Quiet Title, Declaratory Relief and
26
Preliminary Injunction. Further, because Jimijack Trust enjoys the benefits of funds and
27
resources expended to preserve the Property by Fannie Mae’s loan servicer, Seterus, Inc.
28
(“Seterus”), Jimijack Trust is also a proper party-in-interest in relation to Fannie Mae’s
Page 3 of 10
1
counterclaim for Unjust Enrichment and Fannie Mae respectfully requests that the Court join
2
Jimijack Trust as a Counter-Defendant to that cause of action. Fannie Mae and FHFA
3
respectfully request that the case caption is then amended accordingly.
4
STATEMENT OF FACTS
5
a. The Mendez Loan
6
Fannie Mae is the current beneficiary of record under the Deed of Trust signed by Irma
7
Mendez (hereinafter “Mendez”), recorded on April 8, 2005 (hereinafter, the “Deed of Trust”),
8
and which encumbers the Property and secures repayment of a promissory note.
9
The Deed of Trust executed by Mendez identified KH Financial L.P. as the Lender,
10
Equity Title of Nevada as the Trustee, Mortgage Electronic Registration Systems, Inc.
11
(“MERS”) as beneficiary acting solely as a nominee for Lender and Lender’s successors and
12
assigns, and secured a loan in the amount of $252,792.00 (hereinafter the “Mendez Loan”).1 On
13
October 22, 2009, a Corporation Assignment of Deed of Trust to BAC Home Loans Servicing,
14
LP FKA Countrywide Home Loans Servicing LP (“BANA”) was recorded against the
15
Property.2 On November 13, 2014, a Corporate Assignment of Deed of Trust to Fannie Mae
16
was recorded against the Property.3
17
b. The Foreclosure Sale
18
Public records show that on March 13, 2013, a Notice of Delinquent Assessment (Lien)
19
was recorded against the Property by Alessi & Koenig, LLC (the “HOA Trustee”) on behalf of
20
the Fiesta Del Norte Homeowners Association (the “HOA”).4 Public records show that a
21
Notice of Default and Election to Sell Under Homeowners Association Lien was recorded
22
23
24
25
26
27
28
1
A true and correct copy of the Deed of Trust recorded with the Clark County Recorder’s
Office as Book and Instrument Numbers 20050408-0004993 is attached to ECF No. 9 as
Exhibit B. All other recordings stated hereafter are recorded in the same manner. This Court
may take judicial notice of publicly recorded documents. FRE 201(b); United States v. Howard,
381 F.3d 873, 876n.1 (9th Cir. 2004).
2
A true and correct copy of the Corporate Assignment of Deed of Trust recorded as Book and
Instrument Number 20091022-0000409, is attached to ECF No. 9 as Exhibit C.
3
A true and correct copy of the Corporate Assignment of Deed of Trust recorded as Book and
Instrument Number 20141113-0003739, is attached to ECF No. 9 as Exhibit D.
4
A true and correct copy of the Notice of Delinquent Assessment (Lien) recorded as Book and
Instrument Number 20130313-0004837, is attached to ECF No. 9 as Exhibit E.
Page 4 of 10
1
against the Property by the HOA Trustee on behalf of the HOA on June 13, 2013.5 Public
2
records show that on July 5, 2013, a second Notice of Default and Election to Sell Under
3
Homeowners Association Lien was recorded against the Property by the HOA Trustee on behalf
4
of the HOA.6 Public records show that on December 20, 2013, a Notice of Trustee’s Sale was
5
recorded against the Property by the HOA Trustee on behalf of the HOA.7
6
Pursuant to that Notice of Trustee’s Sale, a non-judicial foreclosure sale occurred on
7
February 26, 2014. The HOA Trustee recorded a Trustee’s Deed Upon Sale whereby ABS
8
acquired its interest, if any, in the Property for $20,600.00. The Foreclosure Deed was recorded
9
on March 3, 2014.8
10
11
On September 15, 2015, a Quitclaim Deed from BAS to Jimijack Trust was recorded
against the Property.9
12
c. Pending Litigation
13
On March 17, 2014, ABS filed its Complaint for Quiet Title and Declaratory Relief
14
against BANA and Mendez, among others, in State Court, Case No. A-14-697792-C. [ECF No.
15
3-2]. Fannie Mae intervened as a Defendant on June 4, 2015 by stipulation of the parties and
16
removed the action to United States District Court for the District of Nevada on July 13, 2015
17
[ECF No. 1]. On August 21, 2015, Fannie Mae filed its Answer and Counterclaim, asserting
18
counterclaims against ABS for Declaratory Relief, Quiet Title and Unjust Enrichment. [ECF
19
No.9]. On September 23, 2015, FHFA intervened as a Defendant [ECF No. 17] and filed its
20
Answer and Counterclaim, on September 24, 2015, asserting counterclaims against ABS for
21
22
23
24
25
26
27
28
5
A true and correct copy of the Notice of Default and Election to Sell Under Homeowners
Association Lien recorded as Book and Instrument Number 20130613-0001806 is attached to
ECF No. 9 as Exhibit F.
6
A true and correct copy of the second Notice of Default and Election to Sell Under
Homeowners Association Lien recorded as Book and Instrument Number 20130705-0000952 is
attached to ECF No. 9 as Exhibit G.
7
A true and correct copy of the Notice of Trustee’s Sale recorded as Book and Instrument
Number 20131220-0001348, is attached to ECF No. 9 as Exhibit H.
8
A true and correct copy of the Trustee’s Deed Upon Sale recorded as Book and Instrument
Number 20140303-0003787, is attached to ECF No. 9 as Exhibit I.
9
A true and correct copy of the Quitclaim Deed recorded as Book and Instrument Number
201509150002030, is attached hereto as Exhibit 1.
Page 5 of 10
1
Quiet Title, Declaratory Relief and Preliminary Injunction. [ECF No. 18].
2
As this Court is aware, there are two other pending and related lawsuits concerning the
3
HOA Sale. The first-filed action, 2:15-cv-00314-RCJ-NLK (the “First Action”), was brought by
4
Mendez against the HOA, the HOA Trustee, ABS, Amir Hujjutallah (a purported principal of
5
ABS) and the HOA’s community manager. The latest-filed action, Case No. 2:16-cv-01077-
6
RCJ-NJK (the “Third Action”), was filed by Mendez against Wright, Finlay & Zak, LLP
7
(“WFZ”), Seterus, Fannie Mae and Jimijack Trust. Mendez alleged non-quiet title causes of
8
action against WFZ, Seterus and Fannie Mae, but alleged quiet title against Jimijack Trust.
9
The three actions were reassigned to Judge Robert Jones on July 8, 2016 [ECF No. 53]
10
and, on December 9, 2016 during Calendar Call in matter 2:15-cv-00314, were subsequently
11
consolidated for the purpose of trial [ECF No. 62].
12
II.
13
THIS COURT SHOULD SUBSTITUTE AND JOIN JIMIJACK TRUST AS THE
CURRENT RECORD OWNER OF THE PROPERTY, PURSUANT TO FED. R.
CIV. P. 25(c)
14
Fed. R. Civ. P. 25(c) permits a person to make a motion to substitute party in any case
15
“[i]f an interest is transferred….” In these circumstances, “the action may be continued by or
16
against the original party, unless the court, on motion, orders the transferee to be substituted in
17
the action or joined with the original party.” As this Court has previously explained:
18
19
20
21
22
23
24
25
26
27
28
The most significant feature of Rule 25(c) is that it does not require that anything
be done after an interest has been transferred. The action may be continued by or
against the original party, and the judgment will be binding on his successor in
interest even though he is not named. An order of joinder is merely a
discretionary determination by the trial court that the transferee’s presence would
facilitate the conduct of litigation.
Campbell v. Estate of Kilburn, 2014 U.S. Dist. LEXIS 99463, at *3-4 (D. Nev. July 21, 2014)
(citing In re Bernal, 207 F.3d 595, 598 (9th Cir. 2000) (quoting 7C Charles Alan Wright, Arthur
R. Miller, & Mary Kay Kane, FEDERAL PRACTICE AND PROCEDURE § 1958 (2d Ed.
1986)). In other words, this Court is vested with broad discretion to grant a motion for
substitution pursuant to Fed. R. Civ. P. 25(c) if the Court believes that transferee’s presence
would facilitate the conduct of litigation. See Luxliner P.L. Exp. Co. v. RDI/Luxliner, Inc., 13
F.3d 69, 72 (3rd Cir. 1993) (citing Froning’s, Inc. Johnston Feed Service, Inc., 568 F.2d 108, 110
Page 6 of 10
1
(8th Cir. 1978); 7C WRIGHT & MILLER § 1958 at 557; 3B Moore, MOORE’S FEDERAL
2
PRACTICE § 25.08 at 25–58–25–63 (1993)).
3
Fannie Mae and FHFA submit that good cause exists to substitute and join Jimijack as a
4
Counter-Defendant, as described above, pursuant to Fed. R. Civ. P. 25(c). Jimijack Trust is a
5
party to the Third Action and its predecessor-in-interest, ABS, is involved in the instant action,
6
as well as the First Action. Further, the request to substitute and join Jimijack Trust cannot come
7
as a surprise to Jimijack Trust, nor should be construed to prejudice Jimijack Trust, as the
8
Property was quitclaimed to Jimijack in September 2015, approximately 18 months after ABS
9
initiated quiet title litigation concerning the Property. ABS and Jimijack Trust are represented
10
by the same counsel. Jimijack Trust knew, or at the very minimum had record knowledge, that
11
there was pending litigation concerning title to the Property, by virtue of the Lis Pendens
12
recorded against the Property on behalf of ABS on March 31, 2014 and on behalf of Fannie Mae
13
on September 1, 2015, and should have moved of its own accord to substitute in place of ABS as
14
Plaintiff in the above-identified action.
15
In addition, Jimijack Trust should be joined as a Counter-Defendant with ABS as to
16
Fannie Mae’s Unjust Enrichment counterclaim because it currently benefits from any funds and
17
resources expended to preserve the condition and value of the Property, expended from the time
18
that Jimijack Trust obtained its interest in the Property through resolution of the pending
19
litigation. Unlike the quiet title and declaratory relief claims, however, the relevant property
20
interest underlying Fannie Mae’s Unjust Enrichment counterclaim is distinct and unrelated to
21
whether the Deed of Trust is deemed extinguished by the HOA Sale or not. To the extent ABS
22
received value pursuant to Seterus’ payment of taxes and insurance on the Property after the
23
HOA Sale, Jimijack Trust will now continue to receive such benefit going forward as Seterus
24
continues to pay taxes and insurance. Accordingly, it is appropriate to name both ABS and
25
Jimijack Trust as Counter-Defendants to Fannie Mae’s Counterclaim for Unjust Enrichment.
26
III.
CONCLUSION
27
Based upon the foregoing, FHFA and Fannie Mae respectfully request that the Court
28
order Jimijack Trust to substitute into the case in place of ABS as Counter-Defendant to Fannie
Page 7 of 10
1
Mae’s Counterclaims for Quiet Title and Declaratory Relief and FHFA’s Counterclaims for
2
Quiet Title, Declaratory Relief and Preliminary Injunction. Further, Fannie Mae requests that
3
Jimijack Trust be joined as a Counter-Defendant with ABS to Fannie Mae’s Counterclaim for
4
Unjust Enrichment. Lastly, Fannie Mae and FHFA respectfully request that the case caption is
5
amended accordingly.
6
7
DATED this 17th day of January, 2017.
WRIGHT, FINLAY & ZAK, LLP
FENNEMORE CRAIG, P.C.
/s/ Christina V. Miller, Esq.
Dana Jonathon Nitz, Esq. (SBN 0050)
Christina V. Miller, Esq. (SBN 12448)
7785 W. Sahara Ave., Suite 200
Las Vegas, NV 89117
Tel: 702-475-7964 Fax 702-946-1345
dnitz@wrightlegal.net
cmiller@wrightlegal.net
Attorneys for Federal National Mortgage
Association
/s/ Leslie Bryan Hart, Esq.
Leslie Bryan Hart, Esq. (SBN 4932)
John D. Tennert, Esq. (SBN 11728)
300 E. Second St., Suite 1510
Reno, Nevada 89501
Tel: 775-788-2228 Fax: 775-788-2229
lhart@fclaw.com
jtennert@fclaw.com
Attorneys for Federal Housing Finance
Agency
8
9
10
11
12
13
14
15
16
17
18
IT IS SO ORDERED this 11th day of April, 2017.
19
20
21
____________________________
ROBERT C. JONES
22
23
24
25
26
27
28
Page 8 of 10
1
2
CERTIFICATE OF SERVICE
Pursuant to Fed. R. Civ. P. 5(b) and Electronic Filing Procedure IV(B), I certify that on
3
the 17th day of January, 2017, a true and correct copy of FEDERAL NATIONAL
4
MORTGAGE ASSOCIATION’S AND FEDERAL HOUSING FINANCE AGENCY’S
5
JOINT MOTION TO SUBSTITUTE AND JOIN AS COUNTER-DEFENDANT JOEL A.
6
STOKES AND SANDRA F. STOKES AS TRUSTEES OF THE JIMIJACK
7
IRREVOCABLE TRUST, PURSUANT TO FED. R. CIV. P. 25(c) was transmitted
8
electronically through the Court’s e-filing electronic notice system to the attorney(s) associated
9
with this case. If electronic notice is not indicated through the court’s e-filing system, then a true
10
and correct paper copy of the foregoing document was delivered via U.S. Mail.
11
Darren T. Brenner darren.brenner@akerman.com
12
Vatana Lay vatana.lay@akerman.com
13
Irma Mendez centuryhomes90@gmail.com
14
Joseph Y. Hong yosuphonglaw@gmail.com
15
Matthew I. Knepper matthew.knepper@akerman.com
16
Steven T. Loizzi, Jr steve@nrs116.com
17
Dana Jonathon Nitz dnitz@wrightlegal.net
18
Leslie Bryan Hart lhart@fclaw.com
19
John Tennert jtennert@fclaw.com
20
21
Notice has been delivered by other means to:
22
Crossbox
23
James M. McCord
24
25
_/s/ Brandon Lopipero____________________
An Employee of Wright, Finlay & Zak, LLP
26
27
28
Page 9 of 10
1
INDEX OF EXHIBITS
2
3
Exhibit
4
No.
5
1
Page No.’s
6
Description of Exhibit
Quitclaim Deed, recorded on September 15, 2015, as Book
and Instrument Number 201509150002030
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
Page 10 of 10
4
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.
Why Is My Information Online?