Motors Liquidation Co. Avoidance Action Trust ex rel. Wilmington Trust Co. v. JPMorgan Chase Bank, N.A. (In re Motors Liquidation Co.)

576 B.R. 325
CourtUnited States Bankruptcy Court, S.D. New York
DecidedSeptember 26, 2017
DocketCase No. 09-50026 (MG) (Jointly Administered); Adversary Proceeding Case No. 09-00504 (MG)
StatusPublished
Cited by8 cases

This text of 576 B.R. 325 (Motors Liquidation Co. Avoidance Action Trust ex rel. Wilmington Trust Co. v. JPMorgan Chase Bank, N.A. (In re Motors Liquidation Co.)) is published on Counsel Stack Legal Research, covering United States Bankruptcy Court, S.D. New York primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Motors Liquidation Co. Avoidance Action Trust ex rel. Wilmington Trust Co. v. JPMorgan Chase Bank, N.A. (In re Motors Liquidation Co.), 576 B.R. 325 (N.Y. 2017).

Opinion

MEMORANDUM OPINION REGARDING FIXTURE CLASSIFICATION AND VALUATION

MARTIN GLENN, UNITED STATES BANKRUPTCY JUDGE

TABLE OF CONTENTS

I. Introduction... 339

A. Fixtures .. .340

B. Valuation.. .341

II. Background.. .342

A. Brief History of Old GM... 342

B. Events Leading to Bankruptcy. . .342

1. Term Loan Agreement and Collateral Agreement.. .342

2. Financial Difficulty at GM and the Automotive Industry Generally.. .344

3. Failed Efforts to Engage with the Private Market.. .344

4. Government Intervention... 344

C. GM’s Bankruptcy, the DIP Financing Order, and the 363 Sale... 345

D. History of this Action... 346

1. The Original Complaint and Summary Judgment Motions... 346

2. The Amended Complaint.. .346

E. The Court’s Site Visit to LDT and Warren Transmission... 347

F. GM’s eFAST Ledger... 348

III. Factual Background Regarding Relevant GM Plants... 348

A. GM Lansing Delta Township.. .348

1. The LDT Plant... 348

2. The Eaton County Fixture Filing. . .350

B. Warren Transmission Plant Overview. . .350

C. The Lean Agile Flex System... 352

D. Defiance Foundry Overview.. .352

E. MFD Pontiac and Powertrain Engineering. . .354

F. The Forty Representative Assets... 355

1. Presses... 355

2. Conveyor Systems... 359

3. Robots... 362

4. Assets Located at the Warren.. .364

5. Assets Located at the Defiance Foundry.. .368

6. Assets Located in the Paint Shop...372

7. Miscellaneous Assets Located at Lansing Delta Township.. .374

8. Miscellaneous Assets... 376

9. The Central Utility System: Representative Asset No. 11.. .378

10. Assets the Trust Concedes are Fixtures ...381

IV. Legal Standards Regarding Fixtures ...382

A. Michigan’s Three Part Fixture Test... 382

1. Attachment.. .382

2. Adaptation... 383

3. Intent... 383

B. Ohio’s Three-Part Fixture Test... 385

1.Attachment.. .385

2. Adaptation... 385

3. Intent.. .387

C. Burden of Proof... 387

D. The Issue Whether, Under Ohio and Michigan law, in order to Satisfy the Adaptation Prong, the Asset in Question Benefits the Business or Realty.. .387

Y. Conclusions of Law Regarding Preliminary Issues... 389

A. The “Relatedness” of the MFD Pontiac and Powertrain Engineering Facilities. . .389

1. The Defendants’ Contentions... 389

2. The Plaintiffs Contentions... 389

3. Discussion.. .389

4. Conclusion.. .390

B. The Timeliness of the Trust’s Challenge to the Eaton-County Fixture Filing. . .390

1. The Defendants’ Contentions... 390

2. The Plaintiffs Contentions... 391

3. Legal Standard... 391

4. Discussion.. .392

5. Conclusion.. .394

VI. Guiding Principles in Fixture Determinations ...395

A. Concrete Pits, Trenches, Slabs, or Specialized Foundations are Strong Indications that an Asset is a Fixture... 395

B. An Asset’s Integration With Other Assets and the Assembly Process.. .396

C. Where There is a Deficiency in Objective Evidence Regarding Assets That are No Longer In Place, Proving that an Asset is a Fixture Will Be Difficult.. .397

D. Preliminary Discussion... 397

1. There is a Presumption of GM’s Intent for Permanence... 397

2. Goesling’s Movement of Assets is of Little Probative Value Here... 398

3. Goesling’s Secondary Market Analysis is also of Little Probative Value.,.399

4. Classification of Assets as Personal Property for Tax Purposes is of Little Probative Value... 400

VII. Conclusions of Law Regarding the 40 Representative Assets.. .400
A. The Presses.. .400

1. The Leased Presses Are Not Fixtures. . .400

2. The Remaining Three Presses are Fixtures...401
B. The Conveyor Systems... 402

1. The Modularity of the Conveyor Systems Does Not Suggest that the Conveyors are Not Fixtures.. .402

2. The Conveyors are Attached to the Realty.. .403

3. The Conveyors are Highly Integrated into the Assembly Process... 403

C. The Robots... 405

1. Representative Asset Nos. 39 and 12...405

2. Representative Asset No. 22... 406

D. Individual Assets Located Off the Production Line.. .407

1. Representative Asset No. 8... 407

2. Representative Asset No. 10.. .407

3. Representative Asset No. 19.. .408

■ E. The Warren Transmission Assets ...408

1. Representative Asset No. 14,.. 408

2. Representative Asset No. 24... 409

3. Representative Asset No. 25... 410

4. Representative Asset No. 36.. .410

5. Representative Asset No. 23... 411

6. Representative Asset No. 1... 411

F.The Paint Shop Assets... 412

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

Related

Cite This Page — Counsel Stack

Bluebook (online)
576 B.R. 325, Counsel Stack Legal Research, https://law.counselstack.com/opinion/motors-liquidation-co-avoidance-action-trust-ex-rel-wilmington-trust-co-nysb-2017.