In Re Balboa Street Beach Club, Inc.

319 B.R. 736, 53 Collier Bankr. Cas. 2d 1426, 18 Fla. L. Weekly Fed. B 178, 2005 Bankr. LEXIS 84
CourtUnited States Bankruptcy Court, S.D. Florida.
DecidedJanuary 5, 2005
Docket19-12131
StatusPublished
Cited by8 cases

This text of 319 B.R. 736 (In Re Balboa Street Beach Club, Inc.) is published on Counsel Stack Legal Research, covering United States Bankruptcy Court, S.D. Florida. primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
In Re Balboa Street Beach Club, Inc., 319 B.R. 736, 53 Collier Bankr. Cas. 2d 1426, 18 Fla. L. Weekly Fed. B 178, 2005 Bankr. LEXIS 84 (Fla. 2005).

Opinion

*737 MEMORANDUM OPINION AND ORDER DENYING ANTHONY JAMES DEVELOPMENT, INC.’S MOTION (I) TO DISMISS CHAPTER 11 CASE; (II) ALTERNATIVELY, FOR RELIEF FROM THE AUTOMATIC STAY; AND (III) TO IMPOSE SANCTIONS (C.P. # 16)

RAYMOND B. RAY, Bankruptcy Judge.

THIS CAUSE having come before this Court upon a final evidentiary hearing on November 17, 2004 on Anthony James Development, Inc.’s (“AJD”) motion to dismiss Debtor/Debtor-in-possession, Balboa Street Beach Club, Inc.’s (“Balboa”) Chapter 11 case; alternatively, for relief from the automatic stay, and to impose sanctions (C.P.# 16), and the Court, having taken testimony from the principals of both Balboa and AJD, having reviewed the case and statutory law, having taken judicial notice of the records of the County, and of this and other courts, having considered the evidence presented, having reviewed the parties memorandum, opening statements, and other submissions made to this Court, having heard argument of counsel, and being otherwise duly apprised in the premises, hereby makes the following finding of facts and conclusions of law:

FINDINGS OF FACT

Procedural History Since the Petition Date

1.On September 2, 2004 (the “Petition Date”). Debtor/ Debtor in Possession Balboa filed its Petition for Relief under Chapter 11 of the Bankruptcy Code, along with its Schedules and Statement of Financial Affairs (collectively the “Schedules”) (C.P.# 1), which Schedules were amended on November 17, 2004 (C.P.# 51). Amongst Debtor’s listed assets were three undeveloped beachfront parcels of land located in Hollywood, Florida, along with the right to apply for a seawall permit on the subject property.

2. On September 10, 2004, Balboa, as Debtor in Possession, moved to reject its executory contract with AJD under 11 U.S.C. § 365(a) and Bankruptcy Rule 6006. (C.P.# 4), to which AJD filed its response on October 4, 2004 (C.P.# 17), and to which Balboa replied on October 27, 2004 (C.P.# 28).

3. On October 1, 2004, AJD moved to dismiss Balboa’s Chapter 11 case, for stay relief and for sanctions (C.P.# 16), to which Balboa responded on November 12, 2004 (C.P.# 34).

4. This Court shall defer its ruling on the Motion to Reject Executory Contract until after this Court issues its ruling on AJD’s Motion to Dismiss, for Stay Relief, and for Sanctions.

5. Debtor’s Schedules reflect Capital Crossings Bank (the “Bank”), its mortgagee, and the City of Hollywood (the “City”), as its secured creditors. Debtor listed AJD as a contingent, non liquidated, and contested unsecured creditor. Debtor also listed its principal, Jim Thompson’s wife, Tamara Williams, as an unsecured creditor by virtue of mortgage payments she made to the Bank over the life of the loan, and litigation expenses she fronted for the Debtor over the years.

6. On September 29, 2004, Broward County’s Revenue Collection Division (the “County”) filed its secured Proof of Claim for unpaid real estate taxes for $9,685.13. (P.O.C. # 1).

7. On October 4, 2004, the City of Hollywood (the “City”) filed its secured Proof of Claim for demolition liens for $39,790.99. (P.O.C. # 2).

8. Pursuant to the prehearing order Balboa filed the Declaration of its princi *738 pal, Jim Thompson (C.P.#39). In addition to said Declaration, Mr. Thompson was called as a witness and submitted himself to direct examination by counsel for AJD, and was cross examinated by Balboa’s counsel, at the hearing on November 17, 2004.

9. AJD filed the Amended Declaration of its principal, Anthony J. Rotunde (C.P.# 53). In addition to said Declaration, Mr. Rotunde was called as a witness and submitted himself to direct examination by counsel for AJD, and was cross examinated by Balboa’s counsel, at the hearing on November 17, 2004. Messrs. Thompson and Rotunde were the only two witnesses who testified on November 17, 2004.

10. At the evidentiary hearing on November 17, 2004, Debtor objected to and moved to strike that portion of Mr. Ro-tunde’s Declaration not based upon his own personal knowledge and merely derived from reading a transcript of the state court hearing in this matter (Transcript of November 17, 2004 hearing, pg. 36, line 10 through pg. 40, line 9), and the various orders entered by the state circuit and appellate courts (Transcript of November 17, 2004 hearing, pg. 40, line 12 through pg. 42, line 3). This Court hereby sustains that objection and grants Debtor’s motion to strike that testimony from Rotunde’s Declaration. All testimony from the fourth sentence of Paragraph 3 onward as well as the first sentence of Paragraph 4, all testimony from the second sentence of Paragraph 9 onward, as well as all of Paragraphs 10, 11, and 12 is stricken. Those court rulings and hearing transcript speak for themselves. (Exhibits D, F, and G).

11. On November 17, 2004, Debtor Balboa filed its request with this Court to take judicial notice of documents in the public record of Broward County, and in the court records of this Court, the Circuit Court in and for Broward County Florida, and Florida’s Fourth District Court of Appeals (C.P.#49), and the Court hereby takes judicial notice of the same.

Factual Findings

1. Jim Thompson is the 100% owner and sole Director of Balboa. Debtor has no officers, and no employees other than Mr. Thompson and his wife, Tamara Williams, neither of which received a salary or any monies from the Debtor.

2. Debtor’s sole asset is a raw piece of land located at 5914 N. Surf. Rd., Hollywood, FL 33019-4601. The subject property consists of three undeveloped raw beachfront lots on North Hollywood Beach first bought by the Debtor in August 1991, and which then contained an operating 10 unit apartment building. Mr. Thompson testified that he and his wife originally intended to renovate and convert the apartment building to a 10 unit beachfront boutique hotel, which would serve as the basis for Mr. Thompson and his wife’s retirement. After it was purchased, Mr. Thompson and his wife lived on the Property and collected rents from the tenants. Eventually, Debtor began to evict tenants as it began its plan to convert and renovate the property. In August 1992, during the renovation period, Hurricane Andrew struck and severely damaged the subject property, including both the building structure and the existing seawall. In order to complete those renovations, and repair the damage to the property, Debtor secured and executed a loan with the Small Business Administration (“SBA”) on March 10,1993 for $307,100.00; which loan was subsequently modified and increased on May 8, 1996. The SBA loan was then secured on June 4, 1993 with (1) a mortgage on the subject property, and (2) a personal guaranty from Mr. Thompson’s *739 wife, which guarantee was modified again on May 10, 1996, when the loan amount was increased. On or about August 22, 2001, SBA assigned the Note and Mortgage to Capital Crossing Bank (the “Bank”).

3.

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

Related

RHA Stroud, Inc.
W.D. Oklahoma, 2020
In re Spoverlook, LLC
560 B.R. 358 (D. New Mexico, 2016)
In Re Maison Grande Condominium Ass'n, Inc.
425 B.R. 684 (S.D. Florida, 2010)
In Re Adell
325 B.R. 883 (M.D. Florida, 2005)

Cite This Page — Counsel Stack

Bluebook (online)
319 B.R. 736, 53 Collier Bankr. Cas. 2d 1426, 18 Fla. L. Weekly Fed. B 178, 2005 Bankr. LEXIS 84, Counsel Stack Legal Research, https://law.counselstack.com/opinion/in-re-balboa-street-beach-club-inc-flsb-2005.