Consumer Fin. Prot. Bureau v. RD Legal Funding, LLC

332 F. Supp. 3d 729
CourtDistrict Court, S.D. Illinois
DecidedJune 21, 2018
Docket17-CV-890 (LAP)
StatusPublished
Cited by22 cases

This text of 332 F. Supp. 3d 729 (Consumer Fin. Prot. Bureau v. RD Legal Funding, LLC) is published on Counsel Stack Legal Research, covering District Court, S.D. Illinois primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Consumer Fin. Prot. Bureau v. RD Legal Funding, LLC, 332 F. Supp. 3d 729 (S.D. Ill. 2018).

Opinion

Loretta A. Preska, Senior United States District Judge *744Table of Contents

I. Factual Background...746

a. The NFL Class Members...746

b. September 11, 2001 James Zadroga Victims Compensation Fund Eligible Claimants...747

c. The Purchase Agreements...747

d. Claims Against the RD Entities...748

i. CFPA Claims...748
ii. Claims Arising Under New York Law...748

II. Procedural History...749

III. Legal Standard...751

IV. Discussion...751

a. Federal Jurisdiction...752

i. The RD Entities as "Covered Persons" Under the CFPA...752
1. The NFL Concussion Litigation Settlement Agreement Claims...752
a. The NCLSA's Anti-Assignment Provision...753
b. Legal Standard Regarding the Scope of the Anti-Assignment Provision...753
c. Assignability of "Settlement Proceeds" Versus "Monetary Claims"...755
d. Interpretation of the New York UCC...756
e. The NFL-related Purchase Agreements Are Void...756
2. 31 U.S.C. § 3727 Invalidates the Assignment of Compensation Awards from the VCF...756
a. The Anti-Assignment Act, 31 U.S.C. § 3727...757
i. "Claim Against the United States"...757
ii. Statutory Purpose...759
iii. .. The VCF-related Purchase Agreements Do Not Comply With the Anti-Assignment Act's Requirements...761
3. Eligible Claimants and NFL Class Members "Incur[red] Debt" Through the Purchase Agreements ...761
a. The RD Entities Extend "Credit" and "Service[ ] Loans"...766
4. The RD Entities Are "Covered Persons" Under the CFPA...766

b. Failure to State a Claim Fed. R. Civ. P. 12(b)(6)...767

i. Rule 9(b)'s Heightened Pleading Standard Does Not Apply to Non-Fraud Claims...767
1. "Substantial Assistance" Claims Under the CFPA...769
2. Specificity of Allegations Against Each Defendant Under Rule 8(a)...770 *745ii. "Substantial Assistance" Liability Under the CFPA...771
iii. Deceptive and Abusive Conduct Under the CFPA...772
1. Counts I, III, IV, V: Deceptive Acts or Practices Under the CFPA...772
a. Count I...773
i. "Substantial Assistance" Claim Against Roni Dersovitz Under Count I...773
b. Count III...774
i. "Substantial Assistance" Claim Against Roni Dersovitz Under Count III...775
c. Count IV...775
i. "Substantial Assistance" Claim Against Roni Dersovitz Under Count IV...776
d. Count V...776
i. "Substantial Assistance" Claim Against Roni Dersovitz Under Count V...777
2. Count II: Abusive Acts or Practices Under the CFPA...777
a. "Substantial Assistance" Claim Against Roni Dersovitz Under Count II...778
iv. State Law Claims...779
1. NYAG's Jurisdiction Over the Purchase Agreements...779
2. Count VI: Claims Under New York Civil and Criminal Usury Laws...780
3. Count VIII: Violation of New York General Obligations Law § 13-101...781
4. Count IX: Violation of New York General Business Law § 349...781
5. Count X: Violation of New York General Business Law § 350...783
6. Count XI: New York Executive Law § 63(12) Fraud...783

c. Constitutional Claims...784

i. History, Liberty, and Presidential Authority...784
ii. CFPB's Notice of Ratification...784

d. Conclusion...785

This is an action by Plaintiffs Consumer Financial Protection Bureau (the "CFPB") and the People of the State of New York, by Eric T. Schneiderman, Attorney General for the State of New York ("NYAG" or the "Attorney General") (collectively, the "Government"), against Defendants RD Legal Funding, LLC; RD Legal Finance, LLC; RD Legal Funding Partners, LP (collectively, the "RD Entities"); and Roni Dersovitz, the founder and owner of the RD Entities (together with the RD Entities, the "Defendants"). The Government asserts that the Defendants violated certain provisions of the Consumer Financial Protection Act ("CFPA" or the "Act"). NYAG independently asserts that the RD Entities are liable under New York law for the same actions and events that form the basis of the CFPA claims. Defendants move to dismiss the Complaint (ECF No. 1) on three principal grounds. First, Defendants argue that the CFPB is unconstitutionally structured and therefore lacks the authority to bring claims under the CFPA. Second, Defendants contend that the Court lacks federal jurisdiction because the RD Entities are not "covered persons" under the CFPA and therefore do not come within the Act's jurisdictional purview. Third and finally, the RD Entities move to dismiss the Complaint pursuant to Rule 12(b)(6) of the Federal Rules of Civil Procedure for failure to state a claim for relief.

As set out below, because the CFPB's structure is unconstitutional, it lacks the authority to bring claims under the CFPA and is hereby terminated as a party to this action. The NYAG, however, has independent *746authority to bring claims under the CFPA. The Court concludes that NYAG has alleged plausibly claims under the CFPA and under New York law. Accordingly, Defendants' motion to dismiss the Complaint is denied. (ECF No. 39.)

I. Factual Background

The following facts are drawn from the Complaint, (Complaint ("Compl."), ECF No. 1), the Assignment and Sale Agreements (hereinafter the "Purchase Agreements") attached as exhibits to the Affidavit of Roni Dersovitz, (Affidavit of Roni Dersovitz ("Dersovitz Aff."), Exs. A-1 to A-20, B-1 to B-5, ECF No.

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Bluebook (online)
332 F. Supp. 3d 729, Counsel Stack Legal Research, https://law.counselstack.com/opinion/consumer-fin-prot-bureau-v-rd-legal-funding-llc-ilsd-2018.