Gurney-Goldman v. Solil Mgt., LLC
This text of 2024 NY Slip Op 32830(U) (Gurney-Goldman v. Solil Mgt., 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.
Opinion
Gurney-Goldman v Solil Mgt., LLC 2024 NY Slip Op 32830(U) August 12, 2024 Supreme Court, New York County Docket Number: Index No. 655549/2023 Judge: Melissa A. Crane 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. INDEX NO. 655549/2023 NYSCEF DOC. NO. 268 RECEIVED NYSCEF: 08/12/2024
SUPREME COURT OF THE STATE OF NEW YORK NEW YORK COUNTY -
PRESENT: HON. MELISSA A. CRANE PART 60M Justice ---------X INDEX NO. 655549/2023 STEVEN GURNEY-GOLDMAN, IN HIS INDIVIDUAL 04/03/2024, CAPACITY, AS EXECUTOR OF THE ESTATE OF ALLAN H. GOLDMAN, AS TRUSTEE OF THE ALLAN H. MOTION DATE 04/08/2024 GOLDMAN 2010 Z-6 TRUST, AS TRUSTEE OF THE ALLAN H. GOLDMAN 2018 REVOCABLE TRUST, AND AS MOTION SEQ. NO. 008 013 TRUSTEE OF TRUSTS F/B/O, AHG GENERATION X LLC,TRIS GURNEY-GOLDMAN, CINDY GOLDMAN BLOTNER, IN HER PERSONAL CAPACITY AND AS TRUSTEE OF TRUSTS F/B/O CINDY GOLDMAN BLOTNER UNDER THE ALLAN H. GOLDMAN 2018 REVOCABLE TRUST AGREEMENT, STEPHANIE GOLDMAN, AMY GOLDMAN FOWLER, IN HER INDIVIDUAL CAPACITY AND AS TRUSTEE OF THE AMY GOLDMAN 2010 Z-6 TRUST, APG GENERATION X LLC,
Plaintiff,
- V -
SOUL MANAGEMENT, LLC,SOL GOLDMAN INVESTMENTS, LLC,SG EMPIRE, LLC,JANE GOLDMAN, IN HER INDIVIDUAL CAPACITY, AS MANAGER OF SOL DECISION + ORDER ON GOLDMAN INVESTMENTS, LLC,AND LIGHTHOUSE MOTION PLAZA, LLC,AS TRUSTEE OF RESIDUARY TRUST 1 F/B/O ALLAN H. GOLDMAN U/W/O SOL GOLDMAN, RESIDUARY TRUST 3 F/B/O ALLAN H. GOLDMAN U/W/O SOL GOLDMAN, DIANE GOLDMAN KEMPER, AS EXECUTOR OF THE ESTATE OF LILLIAN GOLDMAN AND AS MANAGER OF LIGHTHOUSE PLAZA, LLC,JUDITH BRENER, LOUISA LITTLE, IN HER CAPACITY AS MANAGER OF SGI AND AS TRUSTEE OF RESIDUARY TRUST 1 F/B/O ALLAN H. GOLDMAN U/W/O SOL GOLDMAN, RESIDUARY TRUST 3 F/B/O ALLAN H. GOLDMAN U/W/O SOL GOLDMAN, THE ALLAN H. GOLDMAN 2008 Y-1 TRUST, THE ALLAN H. GOLDMAN 2008 Y-3, LIGHTHOUSE PLAZA, LLC
Defendant. ----------------------------X
The following e-filed documents, listed by NYSCEF document number (Motion 008) 174, 175, 176, 177, 178, 179, 180, 181, 182,183,234,235,236,237,238,244 were read on this motion to/for TRANSFER
655549/2023 STEVEN GURNEY-GOLDMAN, IN HIS INDIVIDUAL CAPACITY, AS EXECUTOR OF Page 1 of 4 THE ESTATE OF ALLAN H. GOLDMAN, AS TRUSTEE OF THE ALLAN H. GOLDMAN 2010 Z-6 TRUST, AS TRUSTEE OF THE ALLAN H. GOLDMAN 2018 REVOCABLE TRUST, AND AS TRUSTEE OF TRUSTS F/B/O ET AL vs. SOUL MANAGEMENT, LLC ET AL Motion No. 008 013
[* 1] 1 of 4 INDEX NO. 655549/2023 NYSCEF DOC. NO. 268 RECEIVED NYSCEF: 08/12/2024
The following e-filed documents, listed by NYSCEF document number (Motion 013) 214, 215, 216, 217, 233,245 were read on this motion to/for CHANGE VENUE
In motion 8, defendant Jane Goldman asks this court to send the 12th-15th causes of action
to Surrogate's court. In motion 13, defendant Lighthouse asks this court to send the 16th through
23rd causes of action to Surrogate's court. For the reasons stated on the record, the motions are
granted.
In sum, the operative complaint rolls three lawsuits into one. The 1st through 11th causes
of action are distinct. They revolve around certain defendants' actions in allegedly usurping
management of several entities, such as SG Empire, and using that control to generate an allegedly
bogus appraisal that devalued the put rights of the plaintiffs.
Meanwhile, the remainder of the claims all involve estate and trust accounting, distribution,
and related issues surrounding the estates of Sol Goldman, Lillian Goldman and potentially Allen
Goldman as well as various trusts related to those estates. Primarily, those claims seek accountings
and distributions of the assets held in Lillian Goldman's estate and the trusts, among other relief.
They would require Lillian Goldman's estate and her Marital Trust-which was established
through Sol Goldman's will by order of the Surrogate's Court-to purchase interests in other
Goldman entities to facilitate distributions to their beneficiaries. Notably, it is undisputed that
Lilian Goldman's estate remains open and unsettled in Surrogate's court. Further, plaintiffs
counsel stated at oral argument that all of the rights under Lilian's estate derive from Sol's. Even
if Sol's estate is now closed, the issues involving his estate effect Lilian's which remains open and
unsettled. To the extent these claims involve Allen's estate, that too remains open and unresolved
in Surrogate's court.
655549/2023 STEVEN GURNEY-GOLDMAN, IN HIS INDIVIDUAL CAPACITY, AS EXECUTOR OF Page 2 of 4 THE ESTATE OF ALLAN H. GOLDMAN, AS TRUSTEE OF THE ALLAN H. GOLDMAN 2010 Z-6 TRUST, AS TRUSTEE OF THE ALLAN H. GOLDMAN 2018 REVOCABLE TRUST, AND AS TRUSTEE OF TRUSTS F/B/O ET AL vs. SOUL MANAGEMENT, LLC ET AL Motion No. 008 013
[* 2] 2 of 4 INDEX NO. 655549/2023 NYSCEF DOC. NO. 268 RECEIVED NYSCEF: 08/12/2024
The Surrogate's court is the right place for these claims. This lawsuit has just started, while
Lilian's estate is open, and has been for years, as a place for plaintiffs to bring their claims related
to it.
Although Sol's estate is closed, the Surrogate's court still retains jurisdiction over it
(Collins v Manufacturers Hanover Tr. Co., 124 Misc 2d 907, 909 [Sup Ct 1984 ]). The distribution
of assets from an estate is the raison d'etre for the Surrogate's court. There is no better place for
these claims. Plaintiff's resistance at oral argument merely amounted to a preference for the
Commercial Division. This is not a reason to retain jurisdiction.
As for counts 22 and 23, alleging breach of the Lighthouse Plaza Operating Agreement and
primarily Jane's breach of fiduciary duty to Lighthouse Plaza, plaintiff itself has asserted that a
majority of the assets of the Lillian Goldman Marital Trust consist of its membership interest in
Lighthouse Properties (Am. Compl. ,r 322), and a majority of the assets of the Estate of Lillian
Goldman consist of its membership interest in Plaza Circle (id.). Plaintiffs further allege that the
exercise of the Lighthouse Properties and Plaza Circle put rights are necessary to permit the Estate
of Lillian Goldman and the Lillian Goldman Martial Trust to distribute the assets that they hold
through Lighthouse Properties and Plaza Circle, respectively. (Id. ,r,r 328, 333.) Because resolution
of the sole claim against Lighthouse Plaza will therefore affect the administration of Lillian's estate
and the estate- related trust, the court sends these claims to the Surrogate's Court as well.
Accordingly it is,
ORDERED that motion sequence numbers 8 and 13 are granted to the extent that the Trust
claims [Counts 12-23 in the amended complaint] are severed and transferred to the New York
County Surrogate's Court for determination; and it is further
655549/2023 STEVEN GURNEY-GOLDMAN, IN HIS INDIVIDUAL CAPACITY, AS EXECUTOR OF Page 3 of 4 THE ESTATE OF ALLAN H. GOLDMAN, AS TRUSTEE OF THE ALLAN H. GOLDMAN 2010 Z-6 TRUST, AS TRUSTEE OF THE ALLAN H. GOLDMAN 2018 REVOCABLE TRUST, AND AS TRUSTEE OF TRUSTS F/8/O ET AL vs. SOUL MANAGEMENT, LLC ET AL Motion No. 008 013
3 of 4 [* 3] INDEX NO. 655549/2023 NYSCEF DOC. NO. 268 RECEIVED NYSCEF: 08/12/2024
ORDERED that the Clerk of this Court, upon service of a copy of this order with notice of
Free access — add to your briefcase to read the full text and ask questions with AI
Related
Cite This Page — Counsel Stack
2024 NY Slip Op 32830(U), Counsel Stack Legal Research, https://law.counselstack.com/opinion/gurney-goldman-v-solil-mgt-llc-nysupctnewyork-2024.