KTB CRE Debt Fund No. 11 v. Rosen

2024 NY Slip Op 33784(U)
CourtNew York Supreme Court, New York County
DecidedOctober 23, 2024
DocketIndex No. 652332/2024
StatusUnpublished

This text of 2024 NY Slip Op 33784(U) (KTB CRE Debt Fund No. 11 v. Rosen) 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.

Bluebook
KTB CRE Debt Fund No. 11 v. Rosen, 2024 NY Slip Op 33784(U) (N.Y. Super. Ct. 2024).

Opinion

KTB CRE Debt Fund No. 11 v Rosen 2024 NY Slip Op 33784(U) October 23, 2024 Supreme Court, New York County Docket Number: Index No. 652332/2024 Judge: Anar Rathod Patel 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. 652332/2024 NYSCEF DOC. NO. 99 RECEIVED NYSCEF: 10/23/2024

SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK: COMMERCIAL DIVISION PART 45 ---------------------------------------------------------------------X KTB CRE DEBT FUND NO. 11, IN ITS CAPACITY 652332/2024, AS FACILITY AGENT AND LENDER, KTB CRE INDEX NOS. 652772/2024 DEBT FUND NO. 12, IN ITS CAPACITY AS FACILITY AGENT AND LENDER MOTION 05/06/2024, DATES 05/29/2024 Plaintiffs, MOTION - V - SEQ.NOS. 001, 001

ABY ROSEN, MICHAEL FUCHS, DECISION+ ORDER ON MOTIONS Defendants.

---------------------------------------------------------------------X HON. ANAR RATHOD PATEL

The following e-filed documents, listed by NYSCEF document number (Motion 001) 2- 17, 38, 55-67, 71, 73, 75-98 were read on this motion for SUMMARY JUDGMENT IN LIEU OF COMPLAINT (Index No. 652332/2024).

The following e-filed documents, listed by NYSCEF document number (Motion 001) 2, 39-51 were read on this motion for SUMMARY JUDGMENT IN LIEU OF COMPLAINT (Index No. 652772/2024).

Pursuant to the Court's July 31, 2024 Decision and Order, these cases were consolidated under Index. No. 652332/2024. 1 See NYSCEF Doc. No. 54. Plaintiffs KTB Credit Debt Fund No. 11 ("KTB 11"), and KTB Credit Debt Fund No. 12 ("KTB 12") (collectively "Plaintiffs" or "Lenders") move pursuant to CPLR § 3213 for summary judgment in lieu of complaint against Defendants Aby Rosen and Michael Fuchs (collectively, "Defendants" or "Guarantors") for damages related to two separate loans provided by Plaintiffs and guaranteed by Defendants.

Specifically, Lenders seek to recover $1,067,195.41 (with pre-judgment interest accruing from March 15, 2024, when payment was due), and $7,122,464.42 (with pre-judgment interest accruing from May 23, 2024, when payment was due) resulting from a defaulted Senior Mezzanine Credit Facility. Lenders also seek to recover $444,713.68 (with pre-judgment interest accruing from March 15, 2024, when payment was due), and $9,511,584.19 (with pre-judgment interest accruing from May 23, 2024, when payment was due) resulting from a defaulted Junior Mezzanine

Credit Facility. Lenders also seek attorneys' fees and court costs for enforcing the Guaranties.

1 This Decision and Order refers to the NYSCEF document numbers relevant to index number 652332/2024, under which the related cases are consolidated, and where reference is made to a NYSCEF document number under index number 652772/20242, the Court denotes as such by the addition of "A" after the document number. 652332/2024 KTB CRE DEBT FUND NO.11, IN ITS CAPACITY AS FACILITY AGENT AND Page 1 of6 LENDER ET AL vs. ROSEN, ABY ET AL Motion No. 001

[* 1] 1 of 6 INDEX NO. 652332/2024 NYSCEF DOC. NO. 99 RECEIVED NYSCEF: 10/23/2024

NYSCEF Doc. Nos. 2-4, 92, 93, 2A-4A.

Defendants move via cross-motion to dismiss Plaintiffs' claims pursuant to CPLR § 321 l(a)(l), (3), and (7). NYSCEF Doc. Nos. 55, 67, 39A, 51A.

Relevant Factual and Procedural History

These related cases arise from personal guaranties by and between Plaintiffs and Defendants issued on two defaulted loans.

On November 6, 2017, Plaintiff KTB 11, in its capacity as facility agent and lender, made a senior mezzanine loan to non-party 285 Madison Mezzanine, LLC in the amount of $120,000,000. NYSCEF Doc. No. 4 (Park Aff.) at i13. On the same date, Plaintiff KTB 12 made a junior mezzanine loan to non-party 285 Madison Mezzanine 2, LLC in the amount of $85,000,000. Id. at ,i 19. Contemporaneously, Defendants executed loan documents providing their joint and several personal guaranties for each loan; the Guaranties are separate but substantively identical. NYSCEF Doc. Nos. 6 (Senior Mezzanine Loan Guaranty), 13 (Junior Mezzanine Loan Guaranty).

Notably, in Defendants' Guaranties, they jointly and severally agree to "absolutely, irrevocably, and unconditionally" guarantee both loan facilities made by Plaintiffs to non-party obligors 285 Madison Mezzanine, LLC and 285 Madison Mezzanine 2, LLC. NYSCEF Doc. Nos. 6 at§ 1.1; NYSCEF Doc No. 13 at§ 1.1. Defendants waived all defenses, other than the defense of"actual, timely payment." NYSCEF Doc. No. 6 at§§ 1.5, 1.9(b), 2.1, 3.l(i); NYSCEF Doc. No. 13 at§§ 1.5, 1.9(b), 2.1, and 3.l(i).

Guarantors additionally agreed to pay "out-of-pocket costs and expenses (including court costs and reasonable, out-of-pocket attorneys' fees and expenses)" incurred in connection with enforcement of the Guaranties. NYSCEF Doc. No. 6 at§ 6.4; NYSCEF Doc. No. 13 at§ 6.4.

On November 10, 2022, all parties executed a "First Omnibus Amendment" for each loan facility. NYSCEF Doc. Nos. 7 (Senior Mezzanine Amendment), 14 (Junior Mezzanine Amendment). The Amendments expanded the original definition of the term "Guaranteed Obligations" to include: "(i) all obligations and liabilities of Borrower pursuant to Section 8.19(b) of the Loan Agreement and (ii) all obligations and liabilities of ... Borrower in respect of due and unpaid Capitalized Interest, Modification Fees, Special Servicing Fees, Lender Reimbursement Amounts and Interest Reserve Deposit Amounts." NYSCEF Doc. No. 7 at 8; NYSCEF Doc. No. 14 at 9.

On February 12, 2024, non-party obligors 285 Madison Mezzanine LLC and 285 Madison Mezzanine 2 LLC defaulted under their respective loan agreements by failing to pay amounts due and owing to Plaintiffs. NYSCEF Doc. No. 4 at ,i,i 14, 18, 30, 34. The breakdown of amounts due consists of:

(i) Senior Mezzanine loan: failure to pay $153,125 towards the Modification Fee, failure to pay $200,000 in Special Servicing Fees, failure to pay $60,000 towards the Lender Reimbursement Amount, and failure to deposit $654,070.41 towards the Interest Reserve Amount; and 652332/2024 KTB CRE DEBT FUND NO.11, IN ITS CAPACITY AS FACILITY AGENT AND Page 2 of6 LENDER ET AL vs. ROSEN, ABY ET AL Motion No. 001

[* 2] 2 of 6 INDEX NO. 652332/2024 NYSCEF DOC. NO. 99 RECEIVED NYSCEF: 10/23/2024

(ii) Junior Mezzanine loan: failure to pay $17,708.35 towards the Modification Fee, failure to pay $141,666.70 in Special Servicing Fees, failure to pay $42,500 towards the Lender Reimbursement Amount, and failure to deposit $242,838.63 towards the Interest Reserve Amount.

On February 29, 2024, Plaintiffs sent 285 Madison Mezzanine, LLC, 285 Madison Mezz 2, LLC, and each Defendant a notice of default and an immediate demand for payment and deposit of these aforementioned amounts. To date, Defendants have not remitted payment towards these amounts. NYSCEF Doc. No. 4 at ,i,i 18, 34.

On May 7, 2024, Lenders accelerated the loans based on the previously mentioned default events, and declared the indebtedness, including Capitalized Interest, immediately payable. NYSCEF Doc. No. 4A (Park Aff. II) at ,J,J 19, 21, 25, 41, 43, 47; see also NYSCEF Doc. Nos. 9A (2024.05.07 _Senior Mezz Lender's Amended Notice to Senior Mezz Borrower of Acceleration of Loan), 17A (2024.05.07 _Junior Mezz Lender's Notice to Junior Mezz Borrower of Acceleration of Loan). The breakdown of amounts due (Capitalized Interest) consists of:

(i) Senior Mezzanine loan: failure to pay $7,122,464.42 in Capitalized Interest; and (ii) Junior Mezzanine loan: failure to pay $9,511,584.19 in Capitalized Interest.

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Bluebook (online)
2024 NY Slip Op 33784(U), Counsel Stack Legal Research, https://law.counselstack.com/opinion/ktb-cre-debt-fund-no-11-v-rosen-nysupctnewyork-2024.