In Re Greenhaven Associates, Ltd.

93 B.R. 35, 1988 Bankr. LEXIS 2256, 1988 WL 124767
CourtUnited States Bankruptcy Court, S.D. New York
DecidedNovember 9, 1988
Docket19-10431
StatusPublished
Cited by6 cases

This text of 93 B.R. 35 (In Re Greenhaven Associates, Ltd.) is published on Counsel Stack Legal Research, covering United States Bankruptcy Court, S.D. New York primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
In Re Greenhaven Associates, Ltd., 93 B.R. 35, 1988 Bankr. LEXIS 2256, 1988 WL 124767 (N.Y. 1988).

Opinion

MOTION FOR TRANSFER OF VENUE

HOWARD SCHWARTZBERG, Bankruptcy Judge.

Union Federal Savings Bank (“Union”) the holder of a first mortgage lien on a Kentucky apartment complex owned by the debtor. Greenhaven Associates, Ltd. has joined with Paul Hatfield and Donald B. Cox, the holders of a second mortgage lien on the Kentucky property, in a motion pursuant to 28 U.S.C. § 1412 and Bankruptcy Rule 1014(a) to transfer venue of this Chapter 11 case to the Western District of Kentucky.

The debtor is a limited partnership organized under the laws of the state of New Jersey. Its sole asset is the Greenhaven Apartments, an apartment complex located in Bowling Green, Kentucky. The mov-ants, who hold approximately 80 percent of the debtor’s total debt, are located in the State of Indiana. A previous Chapter 11 case filed by this debtor in the State of New Jersey was transferred without opposition by Hatfield and Cox. The former general partners of the debtor in New Jersey thereafter assigned their general partnership interests to Greenhaven Apartments Inc., a corporation organized under the laws of the state of New York, which thereafter entered into a settlement agreement with the seéured creditors, resulting in a voluntary dismissal of the pending Chapter 11 case in the Western District of Kentucky. A default in the settlement payments triggered another mortgage foreclosure action in the state court in Kentucky, which then prompted the filing of a second Chapter 11 case, this time in the Southern District of New York, where the current general partner is located.

The motion for a transfer of venue of this Chapter 11 case to the Western District of Kentucky hinges on a determination as to whether a change in management of the debtor by the substitution of a New York general partner for the former New Jersey general partners justifies the retention of venue of this case in the Southern District of New York when the previous chapter 11 case commenced by the former general partners in the Bankruptcy Court in New Jersey was transferred to the Bankruptcy Court in the Western District of Kentucky, where the apartment complex is located and where twenty of the debtor’s thirty-four creditors reside. The only creditor who resides in New York is the managing agent, Bennett Crowe, which is controlled by Patrick Crowe, the sole officer, director and shareholder of the debtor’s general partner. The facts are undisputed and have been stipulated as follows:

1. The debtor, Greenhaven, is a limited partnership organized and existing under the laws of the State of New Jersey.

2. Greenhaven’s sole asset is the Green-haven Apartments, an apartment complex located in Bowling Green, Kentucky.

3. Greenhaven’s sole business activities consist of the owning and operating of the Greenhaven Apartments.

4. Greenhaven has no office.

5. Union Federal is the holder of a first mortgage lien on the Greenhaven Apartments, together with the rents and profits derived therefrom.

6. Union Federal’s principal place of business is located in Evansville, Indiana, approximately ten miles from the Kentucky border.

7. Union Federal also maintains a branch office in Henderson, Kentucky.

8. Paul E. Hatfield and Donald B. Cox are holders of a second mortgage lien on the Greenhaven Apartments, along with the rents and profits derived therefrom.

9. Hatfield and Cox are residents of Evansville, Indiana, approximately ten miles from the Kentucky border.

10. Evansville, Indiana is approximately 110 miles from the Bankruptcy Court for the Western District of Kentucky located in Bowling Green, Kentucky.

11. Greenhaven’s only secured creditors are Union Federal and Hatfield and Cox.

*37 12. Approximately 80% of Greenhaven’s total debt is owed to Union Federal and Hatfield and Cox.

13. Greenhaven’s general partner is Greenhaven Apartments, Inc., a corporation organized and existing under the laws of the State of New York.

14. The principal place of business of Greenhaven’s general partner is located at P.O. Box 323, Hunting Ridge Mall, Bed-ford, New York 10506.

15. The business of Greenhaven is conducted under the direction and control of its general partner.

16. The managing agent for Greenha-ven and its general partner is Bennett-Crowe Realty, Inc., (“Bennett-Crowe”), a corporation organized and existing under the laws of the State of New York.

17. Bennett-Crowe’s principal place of business is located at P.O. Box 323, Hunting Ridge Mall, Bedford, New York 10506.

18. Greenhaven’s books and records are in the possession of Bennett-Crowe.

19. Except through its managing agent, Greenhaven has no telephone listing in the State of New York.

20. Except through its managing agent, Greenhaven’s general partner has no telephone listing.

21. The managing agent has at least five fulltime employees who work at the site of the Greenhaven Apartments and who engage in the collection of rents, showing of apartments, approval of prospective tenants, renting of apartments, handling of tenant complaints and maintenance of the property.

22. Employees of the managing agent undertake the following duties in the Southern District of New York: all accounting functions; generating of tenant bills and rent rolls; payment of all bills; obtaining and placement of insurance; correspondence with vendors and tenants; approval of expenditures, changes of rent and forms of leases; employment and monitoring of the on-site employees; implementation of safety procedures in manuals; financing; tax compliance (federal, state and local); and retention of professionals.

23. The managing agent maintains two bank accounts with respect to the Greenha-ven Apartments with American National Bank and Trust Company in Bowling Green, Kentucky. Part of the rental income generated by Greenhaven Apartments is deposited into one of the accounts and is used to pay the payroll expense of the on-site employees of Bennett-Crowe. The remainder of the rental income generated by the property is deposited into the other Kentucky bank account and, except for petty cash, is then transferred to a separate account maintained by the managing agent in New York.

24. The sole officer, director and shareholder of Greenhaven’s general partner is Patrick Crowe. Mr. Crowe is also the holder of the majority of partnership interests of Greenhaven and is an officer, director and shareholder of Bennett-Crowe. Mr. Crowe maintains an office at P.O. Box 323, Hunting Ridge Mall, Bedford, New York and a residence in Bedford Hills, New York.

25. Twenty of Greenhaven’s thirty-four creditors reside in the State of Kentucky; five reside in New Jersey; three reside in Indiana; two reside in Texas; two reside in Georgia; one resides in Tennessee; and one resides in New York.

26. The Secured Creditors’ interests could be adequately represented by New York counsel if this case were not transferred, except that it would be less expensive and more convenient for the Secured Parties and their witnesses if this case were transferred to the Western District of Kentucky.

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Cite This Page — Counsel Stack

Bluebook (online)
93 B.R. 35, 1988 Bankr. LEXIS 2256, 1988 WL 124767, Counsel Stack Legal Research, https://law.counselstack.com/opinion/in-re-greenhaven-associates-ltd-nysb-1988.