Richard Mack and Casimira Mack v. Heron Bay Associates, LLC, a Delaware Limited Liability Company and LC Homes DE , Inc, d/b/a LC Homes

CourtCourt of Chancery of Delaware
DecidedDecember 7, 2023
DocketC.A. No. 2019-0588-BWD
StatusPublished

This text of Richard Mack and Casimira Mack v. Heron Bay Associates, LLC, a Delaware Limited Liability Company and LC Homes DE , Inc, d/b/a LC Homes (Richard Mack and Casimira Mack v. Heron Bay Associates, LLC, a Delaware Limited Liability Company and LC Homes DE , Inc, d/b/a LC Homes) is published on Counsel Stack Legal Research, covering Court of Chancery of Delaware primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Richard Mack and Casimira Mack v. Heron Bay Associates, LLC, a Delaware Limited Liability Company and LC Homes DE , Inc, d/b/a LC Homes, (Del. Ct. App. 2023).

Opinion

IN THE COURT OF CHANCERY OF THE STATE OF DELAWARE

RICHARD MACK and CASIMIRA MACK, ) ) Plaintiffs, ) ) v. ) C.A. No. 2019-0588-BWD ) HERON BAY ASSOCIATES, LLC, a ) Delaware Limited Liability Company, and LC ) HOMES DE, INC. d/b/a LC HOMES, a ) Delaware Corporation, ) ) Defendants. )

POST-TRIAL FINAL REPORT

Final Report: December 7, 2023 Date Submitted: November 8, 2023

Dean A. Campbell, Law Office of Dean A. Campbell, P.A., Milton, Delaware; Attorney for Plaintiffs Richard Mack and Casimira Mack.

Jeffrey M. Weiner, Law Office of Jeffrey Weiner, Wilmington, Delaware; Attorney for Defendants Heron Bay Associates, LLC and LC Homes Delaware, Inc.

DAVID, M. Through this action, plaintiffs Richard and Casimira Mack seek rescission of

a 2015 agreement through which they contracted with developer Heron Bay

Associates, LLC and home builder LC Homes Delaware, Inc. for the purchase of a

new construction home in Lewes, Delaware. The plaintiffs contend that the

defendants committed fraud by misrepresenting and omitting material information

concerning longstanding drainage problems affecting the plaintiffs’ lot and the

subdivision generally. In this post-trial final report, I conclude that the plaintiffs

have failed to prove fraud, and recommend that their request for rescission be denied.

I. BACKGROUND

The following facts are drawn from the factual stipulations in the parties’ Pre-

Trial Stipulation and Order and the evidence presented at a three-day trial held on

June 4, 5, and 6, 2023.1

A. The Parties, The Subdivision, And Lot 143 Non-party Capano Management Company (“Capano Management”) is a

Delaware corporation engaged in real estate development, construction, and

property management.2

1 The Stipulation and Pre-Trial Order is cited as “PTO ¶ __”. Trial testimony is cited as “Tr. at __”. Plaintiffs’ and Defendants’ trial exhibits are cited as “PX __” and “DX __”, respectively. 2 Tr. at 472:1-6; 503:-3; 520:18-20. 1 Defendant Heron Bay Associates, LLC (“Heron Bay LLC”), an affiliate of

Capano Management, is a Delaware limited liability company that was formed to

develop a subdivision in Lewes, Delaware, known as “Heron Bay” (the

“Subdivision”).3 Non-party Louis J. Capano, III is the Manager of Heron Bay LLC.

Defendant LC Homes Delaware, Inc. (“LC Homes”), also an affiliate of

Capano Management, is a Delaware corporation that builds new construction homes

in Delaware.4

In 2016, Plaintiffs Richard and Casimira Mack (“Plaintiffs”) contracted with

Heron Bay LLC and LC Homes to purchase a new construction home on lot 143 of

the Subdivision, located at 29977 Crocodile Cove in Lewes, Delaware (“Lot 143”).

The following graphic illustrates the location of Lot 143 and surrounding lots

within the Subdivision:

3 Id. at 502:23-503:3. 4 Id. at 471:12-472:5; 503:5. 2 B. Heron Bay LLC Prepares A Stormwater Management Plan To Address Drainage Issues In The Subdivision. In early 2013, the owner of Subdivision Lot 144, Harry Jones, informed the

Sussex Conservation District (“SCD”) that he was concerned ongoing construction

had altered the elevation of nearby Lot 142, creating potential drainage problems for

surrounding lots.5 In March 2013, SCD concluded that “[t]he elevation of lot # 142

appear[ed] to have been raised sufficiently,” but noted that “[w]hen construction

begins on lot # 143, it will be imperative for the builder, developer to consult and to

work closely with the district before arbitrarily changing the existing grades.”6 SCD

further indicated that “[i]f the elevation of lot # 143 is altered, lot # 142 may be

negatively impacted.”7

By early 2015, SCD had become aware of broader “contributory drainage”

issues throughout the Subdivision. At trial, Jessica Watson, a Program Manager at

SCD, testified that at the time, water was draining from higher elevated lots—Lots

132 through 135—onto lower elevated lots—Lots 144 through 149—where it

became “trapped” and failed to drain into the roadside swales along Crocodile Cove.8

5 PX 11. 6 Id. 7 Id. 8 Tr. at 245:21-23; 246:7-11; 247:16-23; 248:1-3. 3 SCD directed Heron Bay LLC to prepare a stormwater management plan to resolve

this “contributory drainage” problem.9

In February 2015, Heron Bay LLC’s architect, engineering, and surveying

firm, Davis, Bowen and Friedel, Inc., prepared a stormwater management plan

intended to improve drainage throughout the Subdivision (the “February 2015

Stormwater Management Plan”). The February 2015 Stormwater Management Plan

was approved by SCD as well as the Sussex County Engineering Department

(“SCED”), which, by 2015, had also become aware of drainage issues impacting

roadside swales in the Subdivision.10

C. SCED Confirms That Drainage Improvement For Lots 125 Through 149 Is Complete.

On June 17, 2015, SCED sent Mr. Capano a letter identifying “several

conditions at the Heron Bay subdivision that require[d] attention.”11 SCED noted

that while it “ha[d] provided lists of work items to [Heron Bay LLC’s] contractor in

the past [that] w[ere] never completed,” “[t]he recent drainage improvement for lots

125 thr[ough] 149 [wa]s largely complete and [SCED] thanks you for your efforts.”12

9 Id. at 244:13-14. 10 Id. at 162:14-164:8. See DX 7 (noting SCED approved Heron Bay LLC’s plan to improve drainage on Lots 144 through 149 “on April 24, 2015 as an amendment to the plan approved by the SCED on May 3, 2005”). 11 PX 6 at. 12 Id. 4 On September 15, 2015, SCED sent Mr. Capano a follow-up letter listing “all

current site work items . . . that require[d] immediate attention,” reporting that Heron

Bay LLC “ha[d] addressed some items listed and those items are noted as complete,”

while “other items [we]re in the process of being addressed.”13 SCED’s letter

confirmed that “[t]he drainage improvement project in the vicinity of lots 125

thr[ough] 149, ha[d] been completed and [wa]s being monitored by the [SCD].”14

On October 9, 2015, William Krapf, Chief Development Officer of LC

Homes, responded to SCED’s September 15, 2015 letter.15 In his response letter,

Mr. Krapf noted that, “[a]s you indicated, the drainage improvement project in the

vicinity of lots 125 thr[ough] 149 has been completed. I would add that the repairs

performed well during the recent heavy rains.”16 At trial, Mr. Krapf testified that he

was not aware of “any issues with the drainage improvement project in the vicinity

of Lots 125 through 149” after October 9, 2015.17

13 PX 7 at 1. 14 Id. 15 DX 14. 16 Id at 1. 17 Tr. at 502:11-15. 5 D. Plaintiffs, Heron Bay LLC, and LC Homes Enter Into A Purchase Agreement. On October 21, 2015, Plaintiffs, Heron Bay LLC, and LC Homes entered into

an Agreement of Purchase and Sale (the “Purchase Agreement”), pursuant to which

Heron Bay LLC and LC Homes agreed to sell, and Plaintiffs agreed to buy, a “Milton

II” model, new construction home on Lot 143.18 The Purchase Agreement

incorporated a “Seller’s Disclosure of Real Property Condition Report” (the

“Seller’s Disclosure”), attached thereto as Exhibit D.19

E. Heron Bay LLC, LC Homes, And Sussex County Enter Into A Memorandum Of Understanding Requiring Improvements To The Subdivision.

Throughout 2015, 2016, and early 2017, Heron Bay LLC and LC Homes

continued to work with SCED to address the County’s outstanding requests.

On March 17, 2017, Sussex County, Heron Bay LLC, and LC Homes entered

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§ 2572
Delaware § 2572
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Bluebook (online)
Richard Mack and Casimira Mack v. Heron Bay Associates, LLC, a Delaware Limited Liability Company and LC Homes DE , Inc, d/b/a LC Homes, Counsel Stack Legal Research, https://law.counselstack.com/opinion/richard-mack-and-casimira-mack-v-heron-bay-associates-llc-a-delaware-delch-2023.