O'Brien v. Kaplan

2024 NY Slip Op 32389(U)
CourtNew York Supreme Court, New York County
DecidedJuly 11, 2024
DocketIndex No. 652840/2020
StatusUnpublished

This text of 2024 NY Slip Op 32389(U) (O'Brien v. Kaplan) 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
O'Brien v. Kaplan, 2024 NY Slip Op 32389(U) (N.Y. Super. Ct. 2024).

Opinion

O'Brien v Kaplan 2024 NY Slip Op 32389(U) July 11, 2024 Supreme Court, New York County Docket Number: Index No. 652840/2020 Judge: Andrea Masley 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. 652840/2020 NYSCEF DOC. NO. 389 RECEIVED NYSCEF: 07/11/2024

SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK: COMMERCIAL DIVISION PART 48 ----------------------------------------------------------------------------------- X

EDWARD O'BRIEN and THE ESOP SHOP, LLC, INDEX NO. 652840/2020

Plaintiffs, MOTION DATE - V - MOTION SEQ. NO. 005 LAWRENCE KAPLAN, CORPORATE SOLUTIONS GROUP I, LLC, and CORPORATE SOLUTIONS GROUP, LLC, DECISION+ ORDER ON MOTION Defendants. ----------------------------------------------------------------------------------- X

HON. ANDREA MASLEY:

The following e-filed documents, listed by NYSCEF document number (Motion 005) 99, 100, 101, 102, 103,104,105,107,108,109,110,111,112,113,114,115,116,117,118,119,120,121,122,123, 124, 125, 126, 127, 128, 129, 130, 131, 132, 133, 134, 135, 136, 144, 147,150,226,228,229,230, 231,232,233,234,235,236,237,238,239,240,241,242,243,244,245,246,247,258,287,288, 289,290,291,292 were read on this motion to/for AMEND CAPTION/PLEADINGS

This action arises from a dispute between former business associates, plaintiff

Edward O'Brien and defendant Lawrence Kaplan.

In motion sequence number 005, plaintiffs O'Brien and The ESOP Shop, LLC 1

(ESOP Shop) move pursuant to CPLR 3025 (b) to amend the complaint or,

alternatively, pursuant to CPLR 2221 (d) (2) and (e) to renew and reargue in part this

court's decision on the motion to dismiss (mot. seq. no. 001), dismissing CSG RE

Partners, LLC (CSG RE) and CSG RE Ill Consulting Partners LLC (CSG RE 111). 2

1 ESOP Shop is owned by O'Brien. (NYSCEF Doc. No. [NYSCEF] 101, Proposed First Amended Complaint [FAC] ,i 4.) 2 Although the Notice of Motion states that plaintiffs seek to reargue the "Defendants'

motion to dismiss (mot. seq. no. 3)" (NYSCEF 99, Notice of Motion [mot. seq. no. 005]), motion sequence number 003 is counterclaim defendant Blue Hippo ESOP Advisors, lnc.'s motion to dismiss counterclaims. (See NYSCEF 62, Notice of Motion [mot. seq. 652840/2020 O'BRIEN, EDWARD vs. KAPLAN, LAWRENCE Page 1 of 28 Motion No. 005

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The background of this action is set forth in the court's previous decision (see

NYSCEF 87, Decision and Order at 2-4 [mot. seq. nos. 001, 003]) and will be repeated

here only as necessary.

Procedural History

On October 16, 2022, the court dismissed CSG RE Ill Consulting Partners LLC 3

(CSG RE 111) on the ground that no factual allegations against it were set forth in the

complaint. (See Id. at 4-5.) The court also dismissed all causes of action against CSG

RE Partners, LLC 4 (CSG RE), namely, breach of contract, unjust enrichment, breach of

the covenant of good faith and fair dealing, and declaratory judgment. Plaintiffs' breach

of contract claim against CSG RE was dismissed as barred by the statute of frauds,

General Obligations Law (GOL) § 5-701 (a) (10), and the remaining claims failed

accordingly. (Id. at 8-13.) These four claims remain against the defendants who have

not moved to dismiss.

Discussion

Leave to Amend

Plaintiffs seek to add CSG EO Real Estate Partners LLC (CSG Partners) as a

nominal defendant and to assert derivative claims on its behalf. (NYSCEF 101, FAC at

no. 003].) It is clear from plaintiffs' brief that plaintiffs seek to reargue this court's decision on motion sequence number 001. 3 Kaplan is allegedly the majority owner of CSG RE Ill. (NYSCEF 13, Complaint ,i 9.) 4 Kaplan is allegedly the majority owner of CSG RE. (NYSCEF 13, Complaint ,i 6.) The court rejected plaintiffs' theory that CSG RE is an alter-ego of defendants Corporate Solutions Group I, LLC and Corporate Solutions Group, LLC (together, CSG). (See NYSCEF 87, Decision and Order at 5-8 [mot. seq. nos. 001, 003] [NYSCEF pagination].) 652840/2020 O'BRIEN, EDWARD vs. KAPLAN, LAWRENCE Page 2 of 28 Motion No. 005

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3-4 5 .) Plaintiffs allege that CSG Partners was formed in 2017 to receive fees from 1042

transactions originated by O'Brien and that O'Brien is a 50% member of CSG Partners.

(Id. ,m 9, 68-70, 90, 92.) The remaining 50% membership interest is allegedly owned by CSG EO Real Estate Holdings, LLC (CSG Holdings), which plaintiffs seek to add as

a defendant. (Id. ,m 10, 92.) Plaintiffs allege that Kaplan is the majority member of CSG Holdings (id. ,i 92) and "either the manager of [CSG Partners] or the manager of

[CSG Holdings], which in turn is the manager of [CSG Partners]." (Id. ,i 156.) Plaintiffs

also seek to add CSG RE, which has been dismissed from this action, as a defendant.

Plaintiffs seek to add (i) a direct (O'Brien and ESOP) and derivative (CGS

Partners) claim for breach of fiduciary duty against Kaplan, CSG, and CSG RE (Count I)

(id. ,i,i 151-162), (ii) a direct (O'Brien and ESOP) and derivative (CGS Partners) claim

for fraudulent conveyance against Kaplan and CSG Holdings (id. ,i,i 178-185) (Count

IV), (iii) a claim for declaratory judgment seeking a declaration that O'Brien and ESOP

"have an enforceable partnership/joint venture [with Kaplan, CSG, and CSG RE] with

respect to the 1042 Transactions O'Brien generated," and are entitled "to receive 50%

of the fees the Kaplan Parties collect, as well as 50% of any profits" as well as a

declaration that O'Brien "owns 50% of the membership interests in [CSG Partners], and

in turn [CSG Partners'] interests in CSG BSH Partners Ill LLC obtained by a sale of the

Properties" (id. ,i,i 204, 208) (Count VI) 6 , (iv) a direct claim (O'Brien and ESOP) for an

5 The clean version of the FAC is followed by a red-line version. (NYSCEF 101, FAC at 36.) 6 In the complaint, plaintiffs seek a declaration that "they have an enforceable contract with Kaplan, CSG, and CSG RE which entitles them to receive 50% of the gross revenue to be derived from the 1042 Transactions entered into by clients originated by O'Brien and ESOP Shop, as well as to receive 50% of any profits obtained from a sale of the Properties." (NYSCEF 13, Complaint ,i 119.) 652840/2020 O'BRIEN, EDWARD vs. KAPLAN, LAWRENCE Page 3 of 28 Motion No. 005

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accounting against Kaplan, CSG, CSG RE, and CSG Holdings (id. ,m 209-213) (Count VII), and (v) and an alternative claim by O'Brien for violation of the Freelance Isn't Free

Act (FIFA) (Administrative Code of City of New York§ 20-927 et seq.) against Kaplan,

CSG, and CSG RE (Count Vlll). 7 (Id. ,m 214-219.) Plaintiffs also seek to add allegations to the existing claims for breach of contract, unjust enrichment, and breach

of the covenant of good faith and fair dealing. (Id. ,m 163-177, 186-208.) "[L]eave to amend a pleading should be freely granted in the absence of

prejudice to the nonmoving party where the amendment is not patently lacking in merit

... and the decision whether to grant leave to amend a complaint is committed to the

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Bluebook (online)
2024 NY Slip Op 32389(U), Counsel Stack Legal Research, https://law.counselstack.com/opinion/obrien-v-kaplan-nysupctnewyork-2024.