Axos Bank v. 64-03 Realty LLC

CourtDistrict Court, E.D. New York
DecidedApril 3, 2024
Docket1:20-cv-03549
StatusUnknown

This text of Axos Bank v. 64-03 Realty LLC (Axos Bank v. 64-03 Realty LLC) is published on Counsel Stack Legal Research, covering District Court, E.D. New York primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Axos Bank v. 64-03 Realty LLC, (E.D.N.Y. 2024).

Opinion

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF NEW YORK ----------------------------------------------------x

AXOS BANK,

Plaintiff, MEMORANDUM AND ORDER 20-CV-3549 (RPK) (CLP) v.

64-03 REALTY LLC, WING FUNG CHAU, and WENDY CHAU,

Defendants.

----------------------------------------------------x RACHEL P. KOVNER, United States District Judge: Plaintiff Axos Bank brings this action seeking to enforce a promissory note against defendant 64-03 Realty LLC and a guaranty against defendants Wing Fung Chau and Wendy Chau. Before the Court are non-party Randall Funding LLC’s motion to intervene and Axos Bank’s motion for summary judgment against Wing Fung Chau and Wendy Chau.1 For the reasons set forth below, Randall Funding’s motion to intervene is denied, and Axos Bank’s motion for summary judgment is granted as to liability but not as to the amount due. BACKGROUND I. Factual Background The following facts—taken from the parties’ Rule 56.1 statements, depositions, and evidentiary filings—are uncontradicted by other evidence unless noted. Wing Fung Chau and Wendy Chau deny several facts set forth in Axos Bank’s Rule 56.1 statement on the basis that the relevant “information was never disclosed to [them],” see, e.g., Defs.’ Rule 56.1 Counterstatement

1 Axos Bank has also sought summary judgment against defendant 64-03 Realty LLC. See Pl.’s Mem. of L. in Supp. of Mot. for Summ. J. (“Pl.’s MSJ”) (Dkt. #84). But because 64-03 Realty has since filed for bankruptcy, see In re 64-03 Realty LLC, No. 24-BK-40820 (NHL) (Bankr. E.D.N.Y.), proceedings against that defendant are automatically stayed pending the conclusion of the bankruptcy proceedings. See 11 U.S.C. § 362(a). (“Defs.’ Statement”) ¶ 1 (Dkt. #85-1), that Axos Bank’s recitation of the facts “is argumentative and conclusive,” see, e.g., id. ¶ 9, or that they lack “enough information or documents to deny or admit” them, see, e.g., id. ¶ 55. But because Wing Fung Chau and Wendy Chau do not “properly controvert[]” those facts “with a specific and relevant citation to evidence in the record,” they are

admitted “to the extent that they are adequately supported with record evidence.” Zaniewska v. City of New York, No. 11-CV-2446 (RRM) (VVP), 2013 WL 3990751, at *1 n.3 (E.D.N.Y. Aug. 5, 2013); see Giannullo v. City of New York, 322 F.3d 139, 140 (2d Cir. 2003) (“If the opposing party . . . fails to controvert a fact so set forth in the moving party’s Rule 56.1 statement, that fact will be deemed admitted.”) (citing Local R. 56.1(c)). Axos Bank is a federal savings association located in California with a branch in Nevada. Pl.’s Rule 56.1 Statement (“Pl.’s Statement”) ¶¶ 1–2 (Dkt. #84-1). 64-03 Realty is a company based in New York whose sole member is Wing Fung Chau. Defs.’ Statement ¶ 3. Wendy Chau is Wing Fung Chau’s adult daughter. Id. ¶ 15. In November 2019, Wing Fung Chau sought a $2 million business loan from World

Business Lenders, LLC, Pl.’s Statement ¶ 21, a company based in New Jersey, Defs.’ Statement ¶ 2. World Business Lenders “either lend[s] money on its own or arrange[s] for business loans to be made by Axos, which are then serviced by” World Business Lenders. Pl.’s Statement ¶ 21. While negotiating the terms of the loan, Wing Fung Chau “primarily dealt with” a representative of World Business Lenders. Defs.’ Statement ¶ 22. During negotiations with World Business Lenders, Wing Fung Chau agreed to secure the loan with a residential building owned by 64-03 Realty. See Pl.’s Statement ¶ 4, 21. Wendy Chau owned a condominium unit inside the building. Id. ¶ 16. According to Axos Bank, Wing Fung Chau “committed to” World Business Lenders “that he would get [Wendy Chau] to provide personal financial information and to sign the loan document,” id. ¶ 27, though Wing Fung Chau and Wendy Chau dispute that he made such a commitment, Defs.’ Statement ¶ 27. In December 2019, Wing Fung Chau, Wendy Chau, and a representative of World Business Lenders met at Wing Fung Chau’s office to finalize the loan agreement. See Pl.’s Statement ¶ 33;

Defs.’ Statement ¶ 33. The parties’ accounts of the meeting differ. Axos Bank alleges that Wing Fung Chau “was not under any time pressure . . . to close the loan.” Pl.’s Statement ¶ 34. Axos Bank cites Wing Fung Chau’s deposition, in which he testified that he had an opportunity to read the documents before he signed them. Decl. of Alexander Malyshev (“Malshev Decl.”) (Dkt. #84- 2), Ex. 4 (“Wing Fung Chau Dep.”) 125:04–06 (Dkt. #84-6). Wing Fung Chau and Wendy Chau, however, allege that no one “explained the contents of the loan documents,” that they “did not have time to review the loan documents,” and that they “were pressured to close the loan.” Defs.’ Statement Counterstatement ¶ 34. They further allege that World Business Lender’s representative told Wing Fung Chau “it would be quicker if [he] used her lawyer” rather than “a lawyer of [his] own choice.” Decl. of Wing Fung Chau (“Wing Fung Chau Decl.”) ¶ 9 (Dkt. #85-2).

Ultimately, the meeting culminated in the execution of the following documents: • Loan Agreement. Wing Fung Chau and Wendy Chau executed a loan agreement on behalf of 64-03 Realty. Decl. of Robert Pardes (“Pardes Decl.”) (Dkt. #84-12), Ex. B (“Loan Agreement”), at 10 (ECF Pagination) (Dkt. #84-14). The agreement is on Axos Bank letterhead. See ibid. It designates Axos Bank as the lender and 64-03 Realty as the borrower. Id. ¶ 1. It states that 64-03 Realty “promise[s] to pay to the order of Axos Bank . . . two million dollars . . . plus interest” and that “the proceeds are disbursed” by Axos Bank. Ibid. (capitalization altered). It also specifies that 64-03 Realty should make payments to Axos Bank “at its offices” in “Las Vegas” or “at such other location or in such other manner as designated by” Axos Bank. Ibid. It sets forth an annual interest rate of 24% until June 26, 2020, at which point the interest rate increases to 36.99%. Id. ¶ 2. And it provides that, in the “event of default . . ., payment of principal and interest shall be deemed a prepayment,” subject to a “prepayment premium equal to the greater of (a) [15%] of the amount of the unpaid principal as of the date of such prepayment [or] (b) the aggregate amount required to be repaid by borrower to lender . . . reduced by the sum of (i) the aggregate amount of any payments made by borrower to lender pursuant to [the payment schedule] before such prepayment and (ii) the amount of unpaid principal as of the date of such prepayment.” Id. ¶ 4 (capitalization altered). It further provides that the loan agreement “will be governed by federal law applicable to an FDIC insured institution and to the extent not preempted by federal law, the laws of the state of Nevada without regard to conflict of law rules.” Id. ¶ 16(c) (capitalization altered). Finally, it clarifies that the loan agreement itself, along with “all related agreements, . . . including, without limitation any guaranty . . ., constitutes the entire understanding and agreement between or among” Axos Bank, 64-03 Realty, and “any guarantor.” Id. ¶ 16(t) (capitalization altered).

• Guaranty. Wing Fung Chau and Wendy Chau executed a guaranty on behalf of themselves and 64-03 Realty. Pardes Decl., Ex. K (“Guaranty”), at 6–8 (ECF Pagination) (Dkt. #84- 23). Like the loan agreement, the guaranty is on Axos Bank letterhead. See ibid. It designates Axos Bank as the lender, 64-03 Realty as the borrower, and “the undersigned” as the guarantors. Id. at 1. It provides that 64-03 Realty, Wing Fung Chau, and Wendy Chau “jointly and severally guarantee[] payment of . . .

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Anderson v. Liberty Lobby, Inc.
477 U.S. 242 (Supreme Court, 1986)
Yeomalakis v. Federal Deposit Insurance
562 F.3d 56 (First Circuit, 2009)
Kulak v. City of New York
88 F.3d 63 (Second Circuit, 1996)
Mark Giannullo v. City of New York
322 F.3d 139 (Second Circuit, 2003)
Pacific Capital Bank, N.A. v. Connecticut
542 F.3d 341 (Second Circuit, 2008)
Welsbach Elec v. Mastec N. Am
859 N.E.2d 498 (New York Court of Appeals, 2006)
Jackson v. Federal Express
766 F.3d 189 (Second Circuit, 2014)
Floyd v. City of New York
770 F.3d 1051 (Second Circuit, 2014)
Brown & Brown v. Theresa A. Johnson
34 N.E.3d 357 (New York Court of Appeals, 2015)
Camarda v. Selover
673 F. App'x 26 (Second Circuit, 2016)
United States v. Moseley
980 F.3d 9 (Second Circuit, 2020)
Frost v. New York City Police Department
980 F.3d 231 (Second Circuit, 2020)
Copp v. Sands Point Marina, Inc.
217 N.E.2d 654 (New York Court of Appeals, 1966)
A. G. Ship Maintenance Corp. v. Lezak
503 N.E.2d 681 (New York Court of Appeals, 1986)

Cite This Page — Counsel Stack

Bluebook (online)
Axos Bank v. 64-03 Realty LLC, Counsel Stack Legal Research, https://law.counselstack.com/opinion/axos-bank-v-64-03-realty-llc-nyed-2024.