GNHC 1703-518, LLC v. Venari Partners, LLC

2024 NY Slip Op 32388(U)
CourtNew York Supreme Court, New York County
DecidedJuly 11, 2024
DocketIndex No. 651347/2022
StatusUnpublished

This text of 2024 NY Slip Op 32388(U) (GNHC 1703-518, LLC v. Venari Partners, LLC) is published on Counsel Stack Legal Research, covering New York Supreme Court, New York County primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
GNHC 1703-518, LLC v. Venari Partners, LLC, 2024 NY Slip Op 32388(U) (N.Y. Super. Ct. 2024).

Opinion

GNHC 1703-518, LLC v Venari Partners, LLC 2024 NY Slip Op 32388(U) July 11, 2024 Supreme Court, New York County Docket Number: Index No. 651347/2022 Judge: Andrea Masley Cases posted with a "30000" identifier, i.e., 2013 NY Slip Op 30001(U), are republished from various New York State and local government sources, including the New York State Unified Court System's eCourts Service. This opinion is uncorrected and not selected for official publication. [FILED: NEW YORK COUNTY CLERK 07/11/2024 04:54 P~ INDEX NO. 651347/2022 NYSCEF DOC. NO. 167 RECEIVED NYSCEF: 07/11/2024

SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK: COMMERCIAL DIVISION PART 48 ----------------------------------------------------------------------------------- X

GNHC 1703-518, LLC, INDEX NO. 65134 7/2022

Plaintiff, MOTION DATE - V - MOTION SEQ. NO. 003 004 VENARI PARTNERS, LLC, SWEETBRIAR CAPITAL, LLC, MIN-FAM-HOLDING, LLC, 110 PARTNERS LIMITED LIABILITY COMPANY, UPTOWN INVESTORS L.P., JOHN DECISION+ ORDER ON MININNO, BRAD J. BLASCHAK, JOSEPH P. RICCARDO, MOTION PETER RICCARDO, MICHAEL CALLAGHAN, JEREMIAH CALLAGHAN, DOES 1-25, NHCALILLY, LLC, NHCAGILEAD, LLC, NHCABAYLASH, LLC, HEALTH CHOICE ALLIANCE, LLC, HEAL TH CHOICE ADVOCATES, LLC, and HEALTH CHOICE GROUP, LLC,

Defendants. ----------------------------------------------------------------------------------- X

HON. ANDREA MASLEY:

The following e-filed documents, listed by NYSCEF document number (Motion 003) 55, 56, 57, 58, 59, 73, 84, 87,112,113,114,115,116,141,163,164 were read on this motion to/for DISMISS

The following e-filed documents, listed by NYSCEF document number (Motion 004) 60, 61, 62, 63, 64, 65, 74, 85, 86,117 were read on this motion to/for COMPEL ARBITRATION

In motion 003, defendants Sweetbriar Capital, LLC, 110 Partners, LLC, and

Uptown Investors, L.P (collectively, Sweetbriar Defendants), and Brad J. Blaschak,

Peter Riccardo, Michael Callaghan, and Jeremiah Callaghan 1 (collectively, Individual

Defendants) move to dismiss pursuant to CPLR 3211 (a)(7) and (8), 2 3013, and 3016(b).

1 By stipulation dated November 17, 2022, plaintiff discontinued this action with

prejudice against the Individual Defendants. (NYSCEF 140, Stipulation of Voluntary Discontinuance & Consent to Jurisdiction.) 2 By stipulation dated November 17, 2022, the Sweetbriar Defendants consent to the jurisdiction of this court and withdraw their objections based on lack of personal jurisdiction. (Id. at 2.) 651347/2022 GNHC 1703-518, LLC vs. VENARI PARTNERS, LLC ET AL Page 1 of 21 Motion No. 003 004

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In motion 004, defendants Venari Partners, LLC (Venari), Min-Fam Holdings,

LLC (Min-Fam), and John Mininno (collectively, Venari Defendants) move pursuant to

CPLR 7503(a) to (i) compel arbitration and stay or dismiss this action and (ii) enjoin

plaintiff from continuing to litigate GNHC 1703-518 LLC v Venari Partners, LLC, et al.,

MRS-L-000590-22, a parallel action filed in New Jersey (New Jersey Action).

Background

In 2015, defendant Mininno formed Venari to investigate claims against

pharmaceutical companies under the False Claims Act, identify targets for qui tam

actions, build evidence against qui tam targets, create subsidiaries to act as plaintiff in

the qui tam action, engage a law firm to handle the litigation, and manage the cases.

(NYSCEF 23, Complaint ,i 30.) Mininno formed Venari with approximately $2.2 million

in funds invested by the Sweetbriar Defendants and Min-Fam. (Id. ,i,i 4, 30.)

Defendant Blaschak assisted Mininno in forming Venari including finding investors to

fund Venari's operations. (Id. ,i 29.) Mininno served as Venari's Chief Executive

Officer and Blaschak served as the Chief Financial Officer. (Id. ,i 29.)

In 2017, Venari created defendants NHCALilly, LLC, NHCAGilead, LLC and

NHCABaylash, LLC (collectively, the NHCA Nominal Defendants) to file and prosecute

three qui tam actions (GBE Actions). (Id. ,i 4.) Plaintiff alleges that the NHCA Nominal

Defendants were created as part of strategy to quickly monetize the GBE Actions

because Venari had not yielded any returns and the Sweetbriar Defendants and Min-

Fam refused to contribute more capital as a result. (Id. ,i,i 32-35.) Thus, Mininno and

Blaschak "devised a scheme" to create new companies, solicit new investors, and in

651347/2022 GNHC 1703-518, LLC vs. VENARI PARTNERS, LLC ET AL Page 2 of 21 Motion No. 003 004

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turn, provide the Sweetbriar Defendants and Min-Fam with a return on their investment.

(Id. ,I 34.)

In February 2017, counsel in the GBE Actions started soliciting litigation funders

for new investments to fund the GBE Actions. (Id. ,I 38.) In March 2017, plaintiff, an

entity created to provide litigation funding for the GBE Actions, entered into a litigation

funding agreement 3 with the NHCA Nominal Defendants (Funding Agreement). (Id. ,I,I

1, 38.) Pursuant to the Funding Agreement, plaintiff agreed to provide $6.8 million to

finance the GBE Cases in exchange for a portion of any recoveries obtained. (Id. ,I 1.)

Min in no executed the Funding Agreement on behalf of the NHCA Nominal Defendants

as their authorized signatory. (Id. ,I 38; NYSCEF 63, Funding Agreement at

GNH0000005.)

On June 8, 2017, Venari decided that three new entities, Health Choice

Advocates, LLC, Health Choice Alliance, LLC, and Health Choice Group, LLC

(collectively, the Health Choice Nominal Defendants), would file and prosecute the GBE

cases, not the NHCA Nominal Defendants. (Id. ,I 39.) Shortly after this decision, the

Health Choice Nominal Defendants filed the GBE Actions. (Id.) There was no

assignment agreement between the NHCA Nominal Defendants and the Health Choice

Nominal Defendants (together, the Nominal Defendants). (Id. ,I 40.) Further, the

Nominal Defendants also did not have any agreement with Venari regarding the

3 In conjunction with the Funding Agreement, the NHCA Nominal Defendants and plaintiff also entered into a Security Agreement and the NHCA Nominal Defendants issued Letter of Instruction to the law firm representing them in the proposed qui tam litigations. (See In the Matter of the Application of GNHC 1703-518 LLC v NH CAL/LL Y, LLC et al., Index No. 651756/2022, NYSCEF 2, Arbitral Award at 1.) The Purchase Agreement, Security Agreement, and Letter of Instruction are collectively referred to as the Investment Documents. (Id.) 651347/2022 GNHC 1703-518, LLC vs. VENARI PARTNERS, LLC ET AL Page 3 of 21 Motion No. 003 004

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ownership of the GBE cases. (Id.) Instead, plaintiff alleges that Min in no and Blaschak

operated both NHCA Nominal Defendants and the Health Choice Nominal Defendants

as the alter egos of Venari without regard to their separate corporate existence. (Id. ,m 36, 41-42.)

To raise more money, in September 2017, Venari engaged in discussions with

another third-party funder, TPF, about a potential investment. (Id. ,m 45-47.) In October 2017, Venari "opened a data room for TPF to conduct its due diligence regarding a

possible investment." (Id. ,i 47.) In November 2017, TPF issued a draft letter of intent

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Bluebook (online)
2024 NY Slip Op 32388(U), Counsel Stack Legal Research, https://law.counselstack.com/opinion/gnhc-1703-518-llc-v-venari-partners-llc-nysupctnewyork-2024.