In re: Ronald Calderon and Janessa Lee Price

CourtUnited States Bankruptcy Appellate Panel for the Ninth Circuit
DecidedOctober 28, 2013
DocketEC-13-1010-JuKiPa
StatusUnpublished

This text of In re: Ronald Calderon and Janessa Lee Price (In re: Ronald Calderon and Janessa Lee Price) is published on Counsel Stack Legal Research, covering United States Bankruptcy Appellate Panel for the Ninth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
In re: Ronald Calderon and Janessa Lee Price, (bap9 2013).

Opinion

FILED 1 OCT 28 2013

2 SUSAN M. SPRAUL, CLERK U.S. BKCY. APP. PANEL OF THE NINTH CIRCUIT 3 UNITED STATES BANKRUPTCY APPELLATE PANEL 4 OF THE NINTH CIRCUIT 5 6 In re: ) BAP No. EC-13-1010-JuKiPa ) 7 RONALD CALDERON and ) Bk. No. EC-12-25992-MSM JANESSA LEE PRICE, ) 8 ) Debtors. ) 9 ______________________________) FRANCIS DAVIN, ) 10 ) Appellant, ) 11 ) v. ) M E M O R A N D U M* 12 ) JAN P. JOHNSON, Chapter 13 ) 13 Trustee; RONALD CALDERON; ) JANESSA LEE PRICE, ) 14 ) Appellees. ) 15 ______________________________) 16 Argued and Submitted on October 18, 2013 at Sacramento, California 17 Filed - October 28, 2013 18 Appeal from the United States Bankruptcy Court 19 for the Eastern District of California 20 Honorable Michael S. McManus, Bankruptcy Judge, Presiding _______________________ 21 Appearances: Timothy A. Charshaf, Esq. argued for appellant 22 Francis Davin; Ulric N. Duverney, Esq. argued for appellees Ronald Calderon and Janessa Lee Price. 23 _________________________ 24 Before: JURY, KIRSCHER, and PAPPAS, Bankruptcy Judges. 25 26 * This disposition is not appropriate for publication. 27 Although it may be cited for whatever persuasive value it may have (see Fed. R. App. P. 32.1), it has no precedential value. 28 See 9th Cir. BAP Rule 8013-1.

-1- 1 Appellant-creditor Francis Davin appeals from the 2 bankruptcy court’s order denying his motion for leave to file a 3 late proof of claim (POC) and a complaint for § 523 4 nondischargeability or, alternatively, to deny chapter 131 5 debtor, Janessa Lee Price, her discharge under § 727. We 6 AFFIRM. 7 I. FACTS 8 On April 30, 2007, Price and Davin entered into a written 9 agreement for Davin to purchase Interpretative Consulting 10 Services (ICS), a California corporation wholly owned by Price. 11 The parties agreed on a purchase price of $1.5 million (reduced 12 to $1 million if paid in full within one year of the April 30, 13 2007 contract date), including a $150,000 non-refundable deposit 14 paid by Davin to Price. Thereafter, Davin assumed the 15 management and day-to-day operation of ICS. Later, a dispute 16 arose between the parties. 17 On May 17, 2010, Davin filed a complaint against Price in 18 the state court alleging causes of action for breach of 19 contract, fraud, negligent misrepresentation and breach of oral 20 contract. 21 On July 13, 2010, Price filed her answer and cross- 22 complaint against Davin, alleging causes of action for breach of 23 written contract, fraud, negligent misrepresentation, and breach 24 of oral contract. 25 26 1 Unless otherwise indicated, all chapter and section 27 references are to the Bankruptcy Code, 11 U.S.C. §§ 101-1532, and “Rule” references are to the Federal Rules of Bankruptcy 28 Procedure.

-2- 1 A. Debtors’ First Bankruptcy 2 On June 30, 2011, debtors filed a chapter 13 petition 3 (Bankr. Case No. 11-36278). Debtors listed Davin as a creditor 4 and sent a notice of stay of proceedings and notice of the 5 meeting of creditors and other deadlines to Davin at his home 6 address on Molina Street, Napa, California. Davin turned over 7 these documents to his attorney, Timothy Charshaf (Charshaf), 8 who was representing Davin in the state court action against 9 Price. 10 On July 8, 2011, Price’s state court attorney, Norbert 11 Frost (Frost), served Charshaf by mail with a Notice of Stay of 12 Proceedings which was mailed to 4359 Town Center Blvd., Ste. 13 210, El Dorado Hills, CA 95762 (Town Center Blvd. Address). 14 On August 31, 2011, the bankruptcy court dismissed debtors’ 15 case. 16 On September 7, 2011, Charshaf filed a Request for Special 17 Notice in the bankruptcy case. 18 On September 9, 2011, Charshaf notified the state court of 19 the dismissal of debtors’ case. 20 B. Debtors’ Second Bankruptcy 21 On March 27, 2012, debtors filed the instant case, also a 22 chapter 13. They again listed Davin as a creditor. Debtors and 23 their bankruptcy attorney, John Tosney (Tosney) signed the 24 Verification of Master Address List which listed Davin’s address 25 as “c/o The Heritage Law Group, APC, 1101 Investment Blvd., Ste. 26 160, El Dorado Hills, CA 95762” (Investment Blvd. Address). The 27 Investment Blvd. Address was Charshaf’s old address. 28 In a letter dated March 29, 2012, Tosney notified Frost

-3- 1 regarding debtors’ bankruptcy filing and imposition of the stay. 2 The letter requested Frost to notify the state court of the 3 automatic stay. Attached to the letter was the face sheet of 4 debtors’ petition. 5 On April 2, 2012, Frost served Charshaf with a Notice of 6 Stay of Proceedings, the March 29, 2012 letter, and the face 7 sheet of debtors’ petition at the Town Center Blvd. Address. 8 On April 4, 2012, the bankruptcy court filed and mailed the 9 Notice of Chapter 13 Bankruptcy Case, Meeting of Creditors & 10 Deadlines (Notice) to the addresses on the master address list. 11 The Notice set the first meeting of creditors for May 10, 2012, 12 the last day for filing nondischargeability complaints for 13 July 9, 2012, and the last day to file a POC for August 8, 2012. 14 Charshaf did not receive the Notice or debtors’ chapter 13 plan 15 because debtors used the Investment Blvd. Address. Charshaf’s 16 Notice was returned to the bankruptcy court as undeliverable and 17 the clerk notified Tosney that it was returned. 18 On July 9, 2012, the time for filing a nondischargeability 19 complaint in debtors’ case expired. 20 On July 25, 2012, Charshaf filed a Request for Special 21 Notice with the bankruptcy court listing his address as 5176 22 Hillsdale Circle, Ste. 100, El Dorado Hills, CA 95762. 23 On August 8, 2012, the time for filing a POC in debtors’ 24 case expired. 25 On October 31, 2012, Frost filed a status report in the 26 state court action stating that Davin had not filed a POC in 27 debtors’ chapter 13 case and that debtors’ plan had been 28 approved by the bankruptcy court on June 12, 2012. Frost

-4- 1 served Charshaf at the Town Center Blvd. Address. 2 On November 2, 2012, Charshaf filed a motion in the 3 bankruptcy court for leave to file a late POC on behalf of Davin 4 and a complaint for § 523 nondischargeability or, in the 5 alternative, to deny Price her discharge under § 727. Charshaf 6 filed a declaration in support, stating, among other things, 7 that he was the attorney for Davin and that Frost served him 8 with the Notice of Stay of Proceedings on April 2, 2012. 9 Price opposed the motion, contending that Davin had actual 10 and constructive notice of her bankruptcy case because Frost had 11 served Charshaf with a Notice of Stay of Proceedings. Price 12 filed a declaration in support stating that she was never aware 13 of Charshaf’s new addresses and that the address she used was on 14 the original state court pleading. She also declared that The 15 Heritage Law Group’s website still listed Charshaf as one of 16 their attorneys and listed a Sacramento area address as 17 2901 Douglas Blvd., Ste. 290, Roseville, CA 95661. 18 On December 17, 2012, the bankruptcy court denied Davin’s 19 motion.2 On December 20, 2012, the bankruptcy court entered the 20 order. On January 3, 2013, Davin filed a timely notice of 21 appeal. 22 II. JURISDICTION 23 The bankruptcy court had jurisdiction over this proceeding 24 under 28 U.S.C. §§ 1334 and 157(b)(2)(B) and (I). We have 25 26 2 There is no transcript of the hearing in the record. 27 Appellant’s failure to include a transcript of this hearing, while not fatal to their case since our review is de novo, is a 28 violation of Rule 8009(b) and 9th Cir. BAP R. 8006–1.

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