Erwin v. Myers Park Country Club, Inc.

2021 NCBC 45
CourtNorth Carolina Business Court
DecidedJuly 27, 2021
Docket21-CVS-4936
StatusPublished

This text of 2021 NCBC 45 (Erwin v. Myers Park Country Club, Inc.) is published on Counsel Stack Legal Research, covering North Carolina Business Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Erwin v. Myers Park Country Club, Inc., 2021 NCBC 45 (N.C. Super. Ct. 2021).

Opinion

Erwin v. Myers Park Country Club, Inc., 2021 NCBC 45.

STATE OF NORTH CAROLINA IN THE GENERAL COURT OF JUSTICE SUPERIOR COURT DIVISION MECKLENBURG COUNTY 21 CVS 4936

MARK ERWIN,

Plaintiff,

v. ORDER AND OPINION MYERS PARK COUNTRY CLUB, ON PLAINTIFF’S INC., INSPECTION REQUEST Defendant.

1. THIS MATTER is before the Court on plaintiff Mark Erwin’s (“Erwin”)

request for an order compelling defendant Myers Park Country Club, Inc. (“Myers

Park”) to allow Erwin to inspect certain records of Myers Park (the “Inspection

Request”). Erwin contends that he is entitled to inspect these records under the

North Carolina Business Corporation Act (the “Corporation Act”), N.C.G.S. § 55-1-01,

et seq. and that Myers Park has refused, notwithstanding a proper request, to allow

Erwin to inspect them. For the reasons set forth in this Order and Opinion, the Court

GRANTS in part and DENIES in part the Inspection Request.

Nelson Mullins Riley & Scarborough LLP, by David N. Allen, Benjamin S. Chesson, and Anna C. Majestro, for Plaintiff Mark Erwin.

James, McElroy & Diehl, P.A., by John R. Buric and John R. Brickley, and Cranfill Sumner LLP, by Melody J. Jolly, for Defendant Myers Park Country Club, Inc.

Robinson, Judge.

I. PROCEDURAL BACKGROUND

2. Erwin filed his Complaint on 29 March 2021, which sets forth the

Inspection Request as the sole claim for relief. (Compl. 8–10, ECF No. 3.) Erwin also seeks to recover the costs and expenses of this action from Myers Park, including

Erwin’s attorneys’ fees. (Compl. 11.)

3. On 30 March 2021, this action was designated as a mandatory complex

business case by Order of the Chief Justice of the Supreme Court of North Carolina

and assigned to the undersigned by Order of the Chief Business Court Judge. (ECF

Nos. 1–2.)

4. Promptly after the designation and assignment of this case, the Court

directed the parties to file a joint status report setting forth their joint or respective

positions on a briefing schedule for the Inspection Request and whether any discovery

was needed in this action. The parties filed the requested joint status report on 9

April 2021. (ECF No. 9.)

5. Myers Park filed its Answer on 28 April 2021, (Answer, ECF No. 18), and

later filed, with leave of Court, an Amended Answer on 15 July 2021, (Am. Answer,

ECF No. 38).

6. After the Court conducted multiple status conferences and twice extended

a briefing schedule in this matter upon the request of the parties, the Court entered

its final Scheduling Order on 11 June 2021. (ECF No. 28.)

7. The Inspection Request has been fully briefed, and each side has submitted

several supporting documents for the Court’s consideration. The Court held an in-

person hearing on the Inspection Request on 7 July 2021, at which all parties were

represented by counsel (the “July 7 Hearing”). 8. The Inspection Request is now ripe for resolution. Having considered all

relevant matters, the Court issues the following findings of fact and conclusions of

law for the limited purpose of ruling on the Inspection Request.1

II. FINDINGS OF FACT

9. Myers Park is a corporation organized and existing pursuant to the laws of

North Carolina. (Compl. ¶ 2.)2 Its principal place of business is in Mecklenburg

County, North Carolina, where it operates as a country club. (Compl. ¶ 3.)

10. Erwin has been a club member and shareholder of Myers Park since 2008.

(Compl. ¶ 7.)

11. In 2020, Myers Park’s board of directors (the “Board”) approved a

renovation and remodeling plan for the country club, which the Board called the

Connecting the Centuries Project (the “Project”). (Compl. ¶ 10.) The Project is

expected to cost approximately $27 million in total and will be partially funded

through a combination of assessments, monthly fees, and member fees. (Compl.

¶¶ 13–14.)

12. On 12 March 2021, Erwin’s counsel sent a letter on Erwin’s behalf to Myers

Park, demanding that it permit Erwin to inspect and copy certain records (the

“Inspection Demand”). (Compl. ¶ 30.) Erwin’s counsel delivered the Inspection

1To the extent that any findings of fact are more properly considered conclusions of law, the Court intends for them to be considered as such, and vice versa. See Sheffer v. Rardin, 208 N.C. App. 620, 624 (2010).

2Factual findings set forth herein that are derived from the Complaint are allegations that Myers Park admitted in its Amended Answer. Demand to Myers Park’s registered address and also by email to its president,

registered agent, and general manager. (Compl. ¶ 31.)

13. A copy of the Inspection Demand, dated 12 March 2021, is attached to

Erwin’s Complaint as Exhibit A. (Compl. ¶ 30; Compl. Ex. A [“Demand”].)

14. According to the Inspection Demand, Erwin seeks to “obtain information

from Myers Park about the proposed ‘Connecting the Centuries’ project and a delay

of the project so the membership can fully consider the new information.” (Demand

1.) The Inspection Demand further asserted that “[t]he Project raises many concerns

ranging from the Board’s process to push it through to the financial feasibility and

implication on Myers Park’s financial health.” (Demand 2.)

15. In the Inspection Demand, Erwin requested to inspect the following eleven

numbered categories of records:3

1. A list of the names, addresses, phone numbers, and email addresses of all current Myers Park shareholders in alphabetical order, by class of shares showing the number and class of shares held by each.

2. A list of the names, addresses, phone numbers, and email addresses of all current Myers Park members in alphabetical order by category of membership.

3. The minutes of all Myers Park shareholders meetings and Board meetings, and the records of all final actions taken by Myers Park shareholders, the Board, or committees of the Board in place of the Board without a meeting that address or discuss: (a) the Project; (b) Myers Park revenue shortfalls; or (c) plans or proposals to address revenue shortfalls.

3 When referring to one of these categories, the Court will use the applicable number associated with the category in the Inspection Demand, i.e., “request number 1,” “request number 2,” etc. 4. All written communications to shareholders generally that address or discuss: (a) the Project; (b) Myers Park revenue shortfalls; or (c) plans or proposals to address revenue shortfalls.

5. The capital and operating budgets that: (a) the Financial Committee in coordination with the General Manager recommended to the Board for adoption for 2020 and 2021, as required in Article IX, Section 2(a) of the Bylaws; and (b) and [sic] the Board approved for 2020 and 2021, along with all amendments to those budgets, as required in Article IX, Section 2(b) of the Bylaws.

6. All capital expenditures in excess of $5,000, which are required to be approved by the Board in Article IX, Section 2(c) of the Bylaws, related to: (a) the Project; or (b) any plans or proposals to address revenue shortfalls.

7. All Myers Park accounting records and financial statements, including but not limited to: balance sheets, general ledgers, income/profit and loss statements, and cash flow statements. Please produce all unaudited and audited copies of these records.

8. Myers Park’s annual financial statement for 2020 that meets the requirements of N.C.G.S. § 55-16-20.

9.

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2021 NCBC 45, Counsel Stack Legal Research, https://law.counselstack.com/opinion/erwin-v-myers-park-country-club-inc-ncbizct-2021.