Lefko Invs., LLC v. Jungreis

2026 NY Slip Op 30904(U)
CourtNew York Supreme Court, New York County
DecidedMarch 6, 2026
DocketIndex No. 650936/2024
StatusUnpublished
AuthorArlene P. Bluth

This text of 2026 NY Slip Op 30904(U) (Lefko Invs., LLC v. Jungreis) 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
Lefko Invs., LLC v. Jungreis, 2026 NY Slip Op 30904(U) (N.Y. Super. Ct. 2026).

Opinion

Lefko Invs., LLC v Jungreis 2026 NY Slip Op 30904(U) March 6, 2026 Supreme Court, New York County Docket Number: Index No. 650936/2024 Judge: Arlene P. Bluth 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.

file:///LRB-ALB-FS1/Vol1/ecourts/Process/covers/NYSUP.6509362024.NEW_YORK.001.LBLX000_TO.html[03/19/2026 3:45:56 PM] FILED: NEW YORK COUNTY CLERK 03/11/2026 11:58 AM INDEX NO. 650936/2024 NYSCEF DOC. NO. 138 RECEIVED NYSCEF: 03/10/2026

SUPREME COURT OF THE STATE OF NEW YORK NEW YORK COUNTY PRESENT: HON. ARLENE P. BLUTH PART 14 Justice ---------------------------------------------------------------------------------X INDEX NO. 650936/2024 LEFKO INVESTMENTS, LLC, MOTION DATE 03/04/2026 Plaintiff, MOTION SEQ. NO. 003 004 005 -v- BARUCH JUNGREIS, CAMBRIDGE FUNDING SOURCE, DECISION + ORDER ON LLC,JUNGREIS GROUP, LLC,VERTEX FUNDING LLC MOTION Defendants. ---------------------------------------------------------------------------------X

The following e-filed documents, listed by NYSCEF document number (Motion 003) 71, 72, 73, 74, 75, 76, 77, 78, 79, 80, 81, 82, 83, 107, 108, 109, 110, 111, 112, 113, 114, 115, 116, 117, 118, 119, 120, 121, 122, 123, 128 were read on this motion to/for DISCOVERY .

The following e-filed documents, listed by NYSCEF document number (Motion 004) 84, 85, 86, 90, 91, 92, 93, 94, 95, 96, 97, 98, 99, 106, 129 were read on this motion to/for DISCOVERY .

The following e-filed documents, listed by NYSCEF document number (Motion 005) 87, 88, 89, 100, 101, 102, 103, 104, 105, 124, 125, 126, 127, 130, 131, 132, 133, 134, 135 were read on this motion to/for DISCOVERY .

Motion Sequence Numbers 003, 004 and 005 are consolidated for disposition.

They are decided as described below.

Background

In this action, plaintiff contends that defendants are in the merchant cash advance

business. It argues that they provide working capital to small business owners. Plaintiff alleges

that it entered into an agreement with defendant Cambridge in which defendants would enter into

merchant agreements with other individuals or entities and that any profits on these agreements

would be split between plaintiff and defendant Cambridge.

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Plaintiff says that it sent over $500,000 to Cambridge between November 2021 and

October 2022. It claims that it acquired an assignment of payments and claims from a different

entity its principals control (called First Rate) and that First Rate had made similar investments

with defendant Vertex that totaled $430,000. Plaintiff also says it invested some money directly

with defendant Jungreis. It complains that despite assurances from Jungreis, it never received the

promised return on its investments and its requests for accountings or information was rebuffed.

In MS003, defendants seek to compel plaintiff to respond to certain document requests

and for sanctions. They contend that plaintiff has routinely failed to turn over key documents at

issue in this case. Defendants argue that plaintiff has seemingly changed its position to back

away from relying upon written agreements as discussed in the complaint.

Defendants contend that plaintiff has not turned over records relating to financial and

internal accounting to show the purported investments at the heart of plaintiff’s claims. They

complain that plaintiff has not disclosed requested documents about the purported assignments,

which defendants say is critical because it relates to plaintiff’s standing to bring certain claims.

In opposition, plaintiff contends that the investments it refers to in the complaint were

informal and that defendants did not, for example, generate a prospectus or some sort of

partnership agreement. It argues that defendants request documents that simply do not exist.

Plaintiff argues that it produced records to show that certain money was wired and WhatsApp

discussions showing the nature of the agreement.

Plaintiff maintains that it supplemented its document production to include an account

ledger from First Rate (an entity that invested and then purportedly assigned its collection rights

to plaintiff)

650936/2024 LEFKO INVESTMENTS, LLC vs. JUNGREIS, BARUCH ET AL Page 2 of 6 Motion No. 003 004 005

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In MS004, plaintiff seeks a protective order with respect to defendants’ requests for tax

documents and drafts of assignment agreements prepared by plaintiff’s attorney.

In MS005, plaintiff seeks sanctions and to compel defendants to produce records

regarding, basically, what defendants did with the money plaintiff says it (or its related entities)

invested with defendants.

Defendants claim that they produced what actually exists and cannot be compelled to

produce any more documents.

Discussion

As an initial matter, the Court denies all requests for sanctions. It is quite obvious that

this litigation contains a fair amount of acrimony between the parties and the attorneys. That is

not a basis for sanctions.

Given that, in general, both parties maintain that they have produced everything that is in

their custody possession and control, the Court directs as follows. Both plaintiff and defendants

shall execute a Jackson affidavit detailing their efforts to search for and disclose the requests that

are the subject of the instant motions. As the parties point out, this Court cannot force parties to

turn over documents that they claim do not exist. These Jackson affidavits shall be turned over

on or before March 26, 2026.

The Court recognizes that both parties seem to believe that the other side “must” have the

documents requested. Plaintiff thinks that defendants should have records about what happened

to the investments while defendants are certainly correct to question plaintiff’s proof of these

investments in the first place. However, it may be, as plaintiff suggests, that these deals were

informal and not subject to the typical record keeping as might be expected in financial

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transactions. And, as defendants accurately opine, if plaintiff cannot prove it invested money,

than it might be challenging to prevail in this case.

Therefore, in this Court’s view, it would be entirely more productive for the parties to

begin depositions and question each other about the investments, how record keeping was done

and to inquire about how money was transferred and handled. Making broad, albeit routine,

requests for documents does not seem to have helped the parties narrow the issues for trial.

Making targeted requests based on responses to deposition questions will hopefully expedite

discovery.

The two remaining issues are defendants’ requests for tax records and for drafts of the

various assignments that plaintiff says are privileged.

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Related

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242 A.D.2d 208 (Appellate Division of the Supreme Court of New York, 1997)

Cite This Page — Counsel Stack

Bluebook (online)
2026 NY Slip Op 30904(U), Counsel Stack Legal Research, https://law.counselstack.com/opinion/lefko-invs-llc-v-jungreis-nysupctnewyork-2026.