In re: Puntas Associates, LLC

United States Bankruptcy Court, D. Puerto Rico·Decided October 8, 2019·No. 18-03123·Unknown

Opinion

1 IN THE UNITED STATES BANKRUPTCY COURT 2 FOR THE DISTRICT OF PUERTO RICO

3 IN RE: CASE NO. 18-03123 (ESL) 4 PUNTAS ASSOCIATES, LLC CHAPTER 7 5

6 Debtor

7 OPINION AND ORDER 8 9 This case is before the court upon the motion filed by the debtor, Puntas Associates, 10 LLC, for conversion to chapter 11 and the oppositions filed by the chapter 7 trustee, Noreen 11 Wiscovitch-Rentas, and creditors Carlos M. Muñiz Ruiz, Edna O. Muñiz Ruiz, and Adalid 12 Muñiz Ruiz, individually and as heirs of the Estate of Adalid Muñiz Avilés (the “Muñiz”) 13 alleging that the request for conversion was filed in bad faith. The debtor “wishes to convert the 14 case from a Chapter 7 to a Chapter 11 to be able to reorganize to the benefit of Debtor and all 15 creditors” pursuant to the provisions of Section 706(a) of the Bankruptcy Code, 11 U.S.C. § 16 706(a). The trustee questions the timing of the motion in light of the information disclosed in 17 the schedules filed by the debtor, namely the value of the real properties, the changes in the 18 secured claim structure due to her actions as trustee, and the business history of the debtor. The 19 Muñiz, by far the largest creditor of the debtor, irrespective of whether they are secured or 20 unsecured, allege that the debtor defaulted on its payments, has failed to propose a development 21 for the land purchased in 2007, is not an ongoing concern, is not operating and has no 22 employees. The contested matter came before the court for an evidentiary hearing in February 23 2019. 24 After considering the documents filed by the parties, the evidence presented, and the 25 applicable law, the court denies the debtor’s motion to convert to chapter 11. 26 27 1 JURISDICTION 2 This Court has jurisdiction to entertain this motion pursuant to 28 U.S.C. §1334(a), 3 §157(b)(1). Venue lies with this Court pursuant to 28 U.S.C. §1409(a). This is a core 4 proceeding as defined by 28 U.S.C. §157(b)(2). 5 FACTUAL BACKGROUND 6 The Debtor PUNTAS ASSOCIATES, LLC, is a limited liability company created 7 pursuant to the laws of the State of New York. William Russell is the Managing Member of the 8 Debtor. On April 12, 2007, Mr. Adalid Muñiz and the Debtor, Puntas Associates LLC 9 10 (“Puntas”) entered into a Purchase and Sale Agreement of the real estate property described 11 below as Parcel G for the sales price of $2,477,000.00. Puntas paid $164,000.00 on or before 12 the time of closing and the seller financed the remaining $2,313,000.00, subject to obtaining a 13 first mortgage to secure the unpaid part of the sale price. On that same date, April 12, 2007, and 14 for value received, a mortgage note payable to the order Mr. Adalid Muñiz Avilés, or to the 15 bearer of the note, was executed before Notary Public Andrés Javier Ramos Cámara, affidavit 16 number 10,793, hereinafter “the note”. The note in the principal sum of $2,313,000.00 bears 17 18 interests on the unpaid principal balance at the rate of 7.00% per annum until the debt is paid in 19 full. The note provides for the payment of 10% of the original principal amount, $231,300.00 to 20 cover costs, expenses, and attorney’s fees. 21 The principal and interests due under the note matured on October 12, 2007 and are due 22 and payable. A voluntary mortgage was constituted by the Joint Deed of Sale and Mortgage, 23 Deed Number 3, executed before the Notary Public Andrés Javier Ramos Cámara on April 12, 24 2007 to secure the repayment of (a) the indebtedness evidenced by the note, and (b), an amount 25 26 of 10% of the original principal amount $2,313,000.00 of the note to cover costs, expenses and 27 attorney’s fees. The mortgage encumbers the below described property in the Spanish language, 1 2 hereinafter “the property”: 3 RUSTICA: PARCELA marcada con la letra “G” en el Plano de Inscripción, radicada en el Barrio Puntas del término municipal de Rincón, Puerto 4 Rico, de una cabida superficial de TRECE MIL TREINTA Y SEIS PUNTO DOSCIENTOS CUARENTA Y SIETE METROS CUADRADOS (13,036.247 5 m.c.) En lindes por el Norte, con la parcela “H” y parcela “I” del mismo plano, y 6 con el solar número dos (2) que fue segregado de esta misma finca; por el Sur, con el solar segregado de la misma finca caso 77-25-A-690 DPL; por el Este, con 7 la parcela J del mismo Plano que fue adjudicada al señor Jesús Muñiz Avilés y por el Oeste, con faja marcada con la letra “L” dedicada a uso público y con el 8 solar dos (2) antes segregado. Recorded at page one hundred and ten (110) of volume fifty-six (56) of 9 Rincón, property (“finca”) number two thousand three hundred fifteen (2315). 10 Registry of the Property Aguadilla, Section I. The number of the property for tax purposes is 095-020-002-65-000. 11 In accordance with the Joint Deed of Sale and Mortgage presented for recordation at the 12 Registry of the Property of Puerto Rico, Puntas Associates LLC appears at the Registry of the 13 14 Property as the registered owner of the Property. The Joint Deed of Sale and Mortgage was 15 presented for recordation with the Registry of the Property, Aguadilla, Section I on May 29, 16 2007 per entry number (“Asiento”) 849-827-AG01. 17 The note matured on October 12th, 2007. The Muñiz are the holders of the Matured 18 Mortgage Note. 19 The Debtor, PUNTAS ASSOCIATES LLC, failed to comply with the terms of the note 20 and the mortgage deed and its duty to pay. On November 14, 2016, the Muñiz filed a 21 22 foreclosure case against Puntas, the Debtor, before the United States District Court for the 23 District of Puerto Rico, Case No. 16-cv-02978. On February 21, 2018, Puntas Associates LLC 24 finally executed and filed with the United States District Court its Motion for Entry of 25 Consented Judgment of Foreclosure Pursuant to Rule 35.4 Puerto Rico Rules of Civil 26 Procedure, 32 L.P.R.A. Ap. V, R. 36.4. As of March 31, 2018, PUNTAS ASSOCIATES LLC 27 owed the Muñiz the principal sum of $2,313,000.00 plus accrued interest at a rate of 7.000% per 1 2 annum in the amount of not less than $1,510,323.50. The total amount owed by Puntas as of 3 March 31, 2018 was $3,823,323.50. A Consented Judgment for Foreclosure was entered by the 4 US District Court for the District of Puerto Rico on March 26, 2018. 5 On May 31, 2018, Puntas Associates LLC filed its voluntary petition for relief under 6 Chapter 7 of the Bankruptcy Code in the United States Bankruptcy Court for the District of 7 Puerto Rico. Noreen Wiscovitch is the duly appointed and qualified Chapter 7 Trustee in charge 8 of the estate. 9 10 With the voluntary petition, the Debtor included the Schedules and Statement of 11 Financial Affairs (“SOFA”), duly signed under penalty of perjury by William Russell, 12 managing official of Puntas Associates LLC. According to the schedules, the Debtor did not 13 have any accounts receivables, investments, inventory or equipment, and the only cash the 14 Debtor had, was a pre-petition checking account with BNB Bank with a listed value of $197.51. 15 The Debtor listed as assets of the estate, three lots of land in the municipality of Rincon 16 for a combined value of $103,700.00, described as follows: 17 18 a. Parcel G with surface area of 13,036.247 square meters, located at Barrio Puntas, Rincon with a listed alleged value of $75,000.00. 19 b. Parcel 1 with surface area of 3,933.978 square meters, located at Barrio Puntas, Rincon with a listed alleged value of $23,000.00. 20 c. Parcel 2 with surface area of 990.871 square meters, located at Barrio Puntas, Rincon with a listed alleged value of $5,700.00. 21

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