SHEEDY v. GOSHEN MORTGAGE LLC, AS SEPARATE TRUSTEE OF GDBT [Sic] TRUST 2011-1

CourtMassachusetts Land Court
DecidedApril 6, 2021
DocketMISC 19-000199
StatusPublished

This text of SHEEDY v. GOSHEN MORTGAGE LLC, AS SEPARATE TRUSTEE OF GDBT [Sic] TRUST 2011-1 (SHEEDY v. GOSHEN MORTGAGE LLC, AS SEPARATE TRUSTEE OF GDBT [Sic] TRUST 2011-1) is published on Counsel Stack Legal Research, covering Massachusetts Land Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
SHEEDY v. GOSHEN MORTGAGE LLC, AS SEPARATE TRUSTEE OF GDBT [Sic] TRUST 2011-1, (Mass. Super. Ct. 2021).

Opinion

SHEEDY vs. GOSHEN MORTGAGE LLC, AS SEPARATE TRUSTEE OF GDBT [sic] TRUST 2011-1, MISC 19-000199

THOMAS E. SHEEDY, TRUSTEE OF LIBERTY TRUST, Plaintiff, v. GOSHEN MORTGAGE LLC, AS SEPARATE TRUSTEE OF GDBT [sic] TRUST 2011-1, AND DONALD C. KUPPERSTEIN, Defendants

MISC 19-000199

APRIL 6, 2021

SUFFOLK, ss.

ROBERTS, J.

MEMORANDUM OF DECISION AND ORDER ALLOWING DEFENDANT'S MOTION FOR SUMMARY JUDGMENT

INTRODUCTION

Plaintiff Thomas E. Sheedy, as Trustee of Liberty Trust ("Mr. Sheedy"), commenced this action to quiet title to property located at 10 Carmen Street, Boston, Massachusetts ("the Property") with the filing of a verified complaint ("the Complaint") against Goshen Mortgage LLC, As Separate Trustee For GDBT I Trust 2011-1 ("Goshen") on April 26, 2019. [Note 1] The case presents competing claims to the Property, by Mr. Sheedy arising out of his 2016 foreclosure of a second mortgage on the Property held by him, and by Goshen arising out of its 2018 foreclosure of a first mortgage on the Property allegedly held by it. After the conclusion of discovery, Goshen filed Defendant, Goshen Mortgage, LLC, As Separate Trustee Of GDBT I Trust 2011- 1's, Motion For Summary Judgment ("the Motion") and supporting documents, Mr. Sheedy filed his opposition thereto with supporting documents in which he sought the entry of summary judgment in his favor in accordance with Mass. R. Civ. P. 56 (c), and Goshen filed a reply and supplemental affidavit. A hearing on the Motion was held by videoconference on March 17, 2021. For the reasons set forth below, the Motion is ALLOWED.

UNDISPUTED FACTS

The following undisputed facts are either established in the record and pertinent to the motion for summary judgment and the opposition thereto or are facts contained in records of the Suffolk Registry of Deeds ("the Registry") of which the court takes judicial notice pursuant to Mass. G. Evid. § 201. [Note 2] With the exception of the date on which Goshen made entry on the Property for the purpose of foreclosing on the 2005 Mortgage (as defined below), the information regarding which was provided later and not disputed, and the quoted contents of the 2005 Mortgage, the facts in the form substantially as set forth below were reviewed with counsel and agreed to be undisputed at the hearing on this matter.

1. The Property was acquired by Allen C. Brown a/k/a Allan Brown ("Mr. Brown") pursuant to a deed dated March 29, 1995 from Mortgage Properties Corp. to Mr. Brown recorded in the Registry at Book 19673, Page 110.

2. On September 22, 2005, Mr. Brown executed a promissory note ("the 2005 Note") in the amount of $302,900.00 payable to the order of Fremont Investment & Loan. Affidavit Of Attorney Philip L. Eiker, sworn to on November 18, 2020 ("2020 Eiker Aff.") Ex. B.

3. On the same date, Mr. Brown granted a mortgage on the Property to Fremont Investment & Loan to secure the 2005 Note ("the 2005 Mortgage"), which mortgage is recorded in the Registry at Book 38121, Page 216.

4. The 2005 Mortgage defines "MERS" as "Mortgage Electronic Registration Systems, Inc. MERS is a separate corporation that is acting solely as nominee for Lender and Lender's successors and assigns. MERS is the mortgagee under this Security Instrument."

5. The 2005 Mortgage defines "Lender" as "Fremont Investment & Loan."

6. The 2005 Mortgage defines "Applicable Law" as "all controlling applicable federal, state and local statutes, regulations, ordinances or administrative rules and orders (that have the effect of law) as well as all applicable final, non-appealable judicial opinions."

7. The 2005 Mortgage also contains the following provision:

16. Governing Law; Severability; Rules of Construction. This Security Instrument shall be governed by federal law and the law of the jurisdiction in which the Property is located. All rights and obligations contained in this Security Instrument are subject to any requirements and limitations of Applicable Law. Applicable Law might explicitly or implicitly allow the parties to agree by contract or it might be silent, but such silence shall not be construed as a prohibition against agreement by contract. In the event that any provision or clause of this Security Instrument or the Note conflicts with Applicable Law, such conflict shall not affect other provisions of this Security Instrument or the Note which can be given effect without the conflicting provision.

8. The 2005 Note was negotiated by Freemont Investment & Loan by undated indorsement to GMAC Mortgage LLC fka GMAC Mortgage Corporation ("GMAC"); by GMAC by undated indorsement to Copperfield Investments, LLC ("Copperfield"); by David Pauker in his capacity as Plan Administrator of the Third Amended Plan of Liquidation for Copperfield Investments, LLC dated January 6, 2009 ("the Copperfield Administrator") by indorsement dated November 29, 2009 to Private Capital Group, LLC ("Private Capital"); by Private Capital by undated indorsement to Roundpoint Mortgage Servicing Corporation ("Roundpoint"); and by Roundpoint by undated indorsement in blank.

9. According to counsel for Goshen, the 2005 Note and all its indorsements are in his personal possession. 2020 Eiker Aff. ¶ 3.

10. According to counsel for Goshen, his office or predecessor counsel have been in physical possession of the 2005 Note and its indorsements during the entire foreclosure process. Affidavit Of Philip L. Eiker In Support Of Goshen Mortgage, LLC As Separate Trustee Of GDBT I Trust 2011-1's Reply To Plaintiff's Opposition To Defendant's Motion For Summary Judgment And Cross-Motion For Summary Judgment, sworn to on January 29, 2021 ("2021 Eiker Aff.") ¶ 4.

11. The 2005 Mortgage was assigned by MERS to GMAC by Assignment Of Mortgage dated March 12, 2007 but not recorded in the Registry until August 20, 2008 at Book 43947, Page 212 ("2007 MERS to GMAC Assignment").

12. The 2005 Mortgage was the subject of a second Assignment Of Mortgage by MERS to GMAC dated April 22, 2008 and recorded in the Registry on April 24, 2008 at Book 43435, Page 68 ("2008 MERS to GMAC Assignment").

13. Mr. Sheedy disputes the validity of the 2007 MERS to GMAC Assignment and the 2008 MERS to GMAC Assignment.

14. An Assignment Of Mortgage from GMAC to Copperfield dated March 13, 2006 ("GMAC to Copperfield Assignment"), one year before the date of the 2007 MERS to GMAC Assignment, was recorded in the Registry at Book 43947, Page 215, immediately after the recording of the 2007 MERS to GMAC Assignment.

15. The GMAC to Copperfield Assignment is of all GMAC's "right, title and interest" to the 2005 Mortgage.

16. GMAC was not formed until April 13, 2006. Affidavit Of Glenn F. Russell, Jr. In Support Of Plaintiff's Opposition To Defendant's Motion For Summary Judgment, sworn to on December 28, 2020 ("Russell Aff.") at PRA-0020.

17. On October 26, 2006, a citation issued from this court in an action brought pursuant to the Servicemembers Civil Relief Act by GMAC seeking authority to foreclose the 2005 Mortgage, which citation was recorded in the Registry at Book 40708, Page 269.

18.

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SHEEDY v. GOSHEN MORTGAGE LLC, AS SEPARATE TRUSTEE OF GDBT [Sic] TRUST 2011-1, Counsel Stack Legal Research, https://law.counselstack.com/opinion/sheedy-v-goshen-mortgage-llc-as-separate-trustee-of-gdbt-sic-trust-masslandct-2021.