Miller v. W Licensing, LLC

CourtUnited States Bankruptcy Court, C.D. California
DecidedMay 26, 2023
Docket2:22-ap-01082
StatusUnknown

This text of Miller v. W Licensing, LLC (Miller v. W Licensing, LLC) is published on Counsel Stack Legal Research, covering United States Bankruptcy Court, C.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Miller v. W Licensing, LLC, (Cal. 2023).

Opinion

FILED & ENTERED

MAY 26 2023

CLERK U.S. BANKRUPTCY COURT Central District of California BY g o n z a l e z DEPUTY CLERK

UNITED STATES BANKRUPTCY COURT CENTRAL DISTRICT OF CALIFORNIA—LOS ANGELES DIVISION

In re: Weed Cellars, Inc., Debtor. Case No.: 2:21-bk-18868-ER Adv. No.: 2:22-ap-01082-ER Elissa D. Miller, Chapter 7 Trustee, Plaintiff, REPORT AND RECOMMENDATION OF v. THE HONORABLE ERNEST M. ROBLES, UNITED STATES BANKRUPTCY JUDGE, W Licensing, LLC and Meir Asher, TO THE UNITED STATES DISTRICT Defendants. COURT FOR THE CENTRAL DISTRICT OF CALIFORNIA, CONTAINING PROPOSED FINDINGS OF FACT AND CONCLUSIONS OF LAW [RELATES TO ADV. DOC. NOS. 26 AND 42]

Date: April 26, 2023 Time: 10:00 a.m. Location: Ctrm. 1568 Roybal Federal Building 255 East Temple Street Los Angeles, CA 90012

This Report and Recommendation is submitted by the undersigned Judge of the United States Bankruptcy Court for the Central District of California (the “Court”) to the United States District Court for the Central District of California (the “District Court”) pursuant to 28 U.S.C. § 157(c)(1) and Federal Rule of Bankruptcy Procedure (“Bankruptcy Rule”) 9033, based upon the Court’s determination that the Court lacks constitutional authority to enter a final judgment with respect to the matters addressed herein.1 W Licensing, LLC (“W Licensing”) and Meir

In preparing this Report and Recommendation, the Court considered the following pleadings and papers: 1) Complaint for: (1) Declaratory Relief; (2) Avoidance of Fraudulent Transfer and Recovery for the Estate Pursuant to §§ 548, 550, and 551; and (3) Breach of Contract [Adv. Doc. No. 1] (the “Complaint”) 2) Trustee’s Notice of Motion and Motion for Partial Summary Judgment [Adv. Doc. No. 26] a) Statement of Uncontroverted Facts and Conclusions of Law in Support of Motion for Partial Summary Judgment [Adv. Doc. No. 27] b) Declaration of Elissa D. Miller in Support of Trustee’s Motion for Partial Summary Judgment [Adv. Doc. No. 28] c) Declaration of Robyn B. Sokol in Support of Trustee’s Motion for Partial Summary Judgment [Adv. Doc. No. 29] d) Declaration of Dennette A. Mulvaney in Support of Trustee’s Motion for Partial Summary Judgment [Adv. Doc. No. 30] e) Declaration of Sheree Lee in Support of Trustee’s Motion for Partial Summary Judgment [Adv. Doc. No. 31] f) Notice of Lodgment of Proposed Partial Summary Judgment on the First Claim for Relief [Adv. Doc. No. 32] i) Notice of Lodgment of Amended Proposed Partial Summary Judgment on the First Claim for Relief [Adv. Doc. No. 55] g) Appendix in Support of Trustee’s Motion for Partial Summary Judgment [Adv. Doc. No. 33] h) Errata to Chapter 7 Trustee’s Motion for Partial Summary Judgment [Adv. Doc. No. 54] 3) Notice of Cross-Motion and Cross-Motion of Meir Asher for Summary Judgment [Adv. Doc. No. 42] a) Amended Notice of Cross-Motions of Defendants Meir Asher and W Licensing, LLC for Summary Judgment and of Hearing Thereon [Adv. Doc. No. 51] 4) Notice of Cross-Motion and Cross-Motion of W Licensing, LLC for Summary Judgment [Adv. Doc. No. 43] 5) Defendants’ Joint Opposition to Chapter 7 Trustee’s Motion for Partial Summary Judgment [Adv. Doc. No. 35] 6) Memorandum of Points and Authorities in Support of (i) Defendants’ Opposition to Chapter 7 Trustee’s Motion for Partial Summary Judgment; (ii) Meir Asher’s Cross-Motion for Summary Judgment; and (iii) W Licensing, LLC’s Cross-Motion for Summary Judgment [Adv. Doc. No. 36] a) Declaration of David P. Beitchman (Incorporated By Reference) in Support of: (I) Defendants’ Opposition to Chapter 7 Trustee’s Motion for Partial Summary Judgment; and (II) Defendants’ Respective Motions for Summary Judgment [Adv. Doc. No. 37] b) Declaration of Meir Asher (Incorporated By Reference) in Support of: (I) Defendants’ Opposition to Chapter 7 Trustee’s Motion for Partial Summary Judgment; and (II) Defendants’ Respective Motions for Summary Judgment [Adv. Doc. No. 38] c) Appendix in Support of: (I) Defendants’ Opposition to Chapter 7 Trustee’s Motion for Partial Summary Judgment; and (II) Defendants’ Respective Motions for Summary Judgment [Adv. Doc. No. 39] d) Evidentiary Objections to the Declaration of Sheree Lee [Adv. Doc. No. 40] e) Evidentiary Objections to the Declaration of Denette A. Mulvaney [Adv. Doc. No. 41] f) Defendants’ Statement of Genuine Issues Re Chapter 7 Trustee’s Motion for Partial Summary Judgment [Adv. Doc. No. 44] g) Defendants’ Joint Statement of Uncontroverted Facts and Conclusions of Law and Proposed Summary Judgment [Adv. Doc. No. 45] h) Notice of Lodgment of Proposed Summary Judgment for Meir Asher on the First and Third Claims for Relief in the Complaint [Adv. Doc. No. 46] i) Notice of Lodgment of Proposed Summary Judgment for W Licensing, LLC on the First, Second, and Third Claims for Relief in the Complaint [Adv. Doc. No. 47] 7) Trustee’s Reply to Defendants’ Joint Opposition to Chapter 7 Trustee’s Motion for Partial Summary Judgment [Adv. Doc. No. 52] a) Trustee’s Motion to Strike Certain Pleadings Referenced in the Defendants’ Joint Opposition to Chapter 7 Trustee’s Motion for Partial Summary Judgment [Adv. Doc. No. 53] 8) Chapter 7 Trustee’s Opposition to Motions for Summary Judgment Filed by W Licensing and Meir Asher [Adv. Doc. No. 62] a) Chapter 7 Trustee’s Separate Statement of Genuine Issues in Response to Defendants’ Joint Statement of Uncontroverted Facts and Conclusions of Law [Adv. Doc. No. 63] b) Plaintiff’s Evidentiary Objections to Declaration of Meir Asher (Incorporated By Reference) in Support of: (I) Defendants’ Opposition to Chapter 7 Trustee’s Motion for Partial Summary Judgment; and (II) Defendants’ Respective Motions for Summary Judgment [Adv. Doc. No. 64] Asher (“Asher,” and together with W Licensing, the “Defendants”) have not consented to the entry of final judgment by the Bankruptcy Court.2 Absent such consent, this Court lacks constitutional authority to enter final judgment because this action involves a fraudulent transfer claim. Executive Benefits Ins. Agency v. Arkison (In re Bellingham Ins. Agency, Inc.), 702 F.3d 553 (9th Cir. 2012). At the above-captioned date and time, the Court conducted hearings on cross-motions for summary judgment (the “MSJs”) filed by the Chapter 7 Trustee (the “Trustee”) and the Defendants. At the conclusion of the hearing, the Court took the matter under submission. For the reasons in the Final Recommendation set forth below, the Court recommends that the District Court enter final judgment as follows:

1) On the first claim for relief as to W Licensing, enter declaratory judgment in favor of the Trustee, and against W Licensing, declaring that W Licensing does not possess any interests attaching directly to the Sale Proceeds3; 2) Dismiss the first claim for relief as to Asher based upon a lack of jurisdiction; 3) On the second claim for relief, enter summary judgment in favor of W Licensing4; 4) On the third claim for relief, enter summary judgment in favor of W Licensing and Asher; and 5) Find that Asher, but no other party, is entitled to the allowance of reasonable attorneys’ fees as costs pursuant to Cal. Civ. Proc. Code §§ 1021 and 1033.5(a)(10), in an amount to be determined by the District Court.

Final Recommendation

I. Background A. Procedural Background On November 23, 2021 (the “Petition Date”), Weed Cellars, Inc. (the “Debtor”) filed a voluntary Chapter 7 petition. The Debtor is not a marijuana dispensary or business.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Anderson v. Liberty Lobby, Inc.
477 U.S. 242 (Supreme Court, 1986)
Lujan v. National Wildlife Federation
497 U.S. 871 (Supreme Court, 1990)
Brosseau v. Haugen
543 U.S. 194 (Supreme Court, 2004)
Arbaugh v. Y & H Corp.
546 U.S. 500 (Supreme Court, 2006)
MedImmune, Inc. v. Genentech, Inc.
549 U.S. 118 (Supreme Court, 2007)
Sullivan v. Dollar Tree Stores, Inc.
623 F.3d 770 (Ninth Circuit, 2010)
Executive Benefits Insurance Agency v. Arkison
702 F.3d 553 (Ninth Circuit, 2012)
Hauk v. JP Morgan Chase Bank USA
552 F.3d 1114 (Ninth Circuit, 2009)
Reynolds Metals Co. v. Alperson
599 P.2d 83 (California Supreme Court, 1979)
Fresno Motors, LLC v. Mercedes-Benz USA, LLC
771 F.3d 1119 (Ninth Circuit, 2014)
Marlene Penrod v. Americredit Financial Services
802 F.3d 1084 (Ninth Circuit, 2015)
deSaulles v. Community Hospital of the Monterey Peninsula
370 P.3d 996 (California Supreme Court, 2016)
Susan Salyers v. Metropolitan Life Ins. Co.
871 F.3d 934 (Ninth Circuit, 2017)
Marina Pacifica Homeowners Ass'n v. S. Cal. Fin. Corp.
228 Cal. Rptr. 3d 799 (California Court of Appeals, 5th District, 2018)
Ford v. Baroff (In re Baroff)
105 F.3d 439 (Ninth Circuit, 1997)
In re Adobe Systems, Inc. Privacy Litigation
66 F. Supp. 3d 1197 (N.D. California, 2014)

Cite This Page — Counsel Stack

Bluebook (online)
Miller v. W Licensing, LLC, Counsel Stack Legal Research, https://law.counselstack.com/opinion/miller-v-w-licensing-llc-cacb-2023.