Sugar, Jr. v. Tackett

CourtDistrict Court, D. New Mexico
DecidedSeptember 29, 2022
Docket1:20-cv-00331
StatusUnknown

This text of Sugar, Jr. v. Tackett (Sugar, Jr. v. Tackett) is published on Counsel Stack Legal Research, covering District Court, D. New Mexico primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Sugar, Jr. v. Tackett, (D.N.M. 2022).

Opinion

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEW MEXICO PAUL SUGAR, Jr., and PAUL SUGAR, Sr., Plaintiff, vs. No. CV 20-00331 KWR/LF

DAVID TACKETT, Defendant.

MEMORANDUM OPINION AND ORDER Plaintiffs Paul Sugar, Jr. and Paul Sugar, Sr.1 have brought a Complaint against Defendant David Tackett alleging that Defendant made misrepresentations and/or committed fraud by inducing Plaintiffs to agree to the sale of 11,599.04 pounds of No. 8 Turquoise ("No. 8 Turquoise"). Plaintiffs allege that Defendant breached that contract and his attendant implied contractual duty of good faith and fair dealing when he never paid Plaintiffs $ 560,000.00 for the No. 8 Turquoise. Plaintiffs further allege that when Defendant later sold the No. 8 Turquoise

without remitting any funds to Plaintiffs, Defendant committed the tort of conversion and was unjustly enriched by the proceeds of that sale. Plaintiffs ask for payment under the contract or rescission of the agreement. They also seek compensatory damages, punitive damages, pre and post judgment interest, and an award of attorney's fees and costs. See Doc. 1.2

1 Plaintiffs will be referred to jointly as "Plaintiffs," and individually as "Paul Sugar, Jr." and "Paul Sugar, Sr." 2 In his briefing, Defendant also asks for attorney's fees and costs. As Defendant's request was not properly presented to the Court in a counterclaim, the Court will not consider this request. On June 13, and June 14, 2022, the Court conducted a bench trial. After considering the briefs, the arguments of counsel, and all exhibits, the Court finds that Plaintiffs met their burden and showed that they had an oral contract with Defendant, but Plaintiffs did not show that Defendant breached the contract, nor did they meet their burden as to any of their other claims. Accordingly, the Court will find in favor of Defendant on all Plaintiffs' claims.

I. FINDINGS OF FACT The Court makes the following findings of fact: A. Transfer of No. 8 Turquoise 1. Beginning in 2016, Plaintiffs purchased, with cash, approximately 13,000 pounds of No. 8 turquoise ore from Dan and Pam Harrington, who live in Nevada. Doc. 102 at 22:11-12. 2. Plaintiffs paid between $30,000.00 to $40,000.00 cash for the No. 8 Turquoise. Id. at 22:11- 12. 3. No. 8 Turquoise has a distinctive appearance and is in limited supply. See id. at 23. 4. Each Plaintiff owned approximately one-half of the ore. Id. at 51:25, 52:1.

5. After Plaintiffs sifted and cleaned the ore, it weighed approximately 11,599.04 pounds. Id. at 26:15-17. 5. Plaintiffs stored the No. 8 Turquoise in five-gallon buckets on Paul Sugar, Sr.'s property in Moriarty, New Mexico. Id. at 25:14. 6. Plaintiffs stabilized and sold some of the higher quality turquoise before entering into negotiations with Defendant. Id. at 28:6-8. 7. In 2017, Defendant contacted Paul Sugar, Jr. and expressed his interest in buying the Plaintiffs’ No. 8 turquoise. The two engaged in negotiations for the sale. Id. at 30-31. Paul Sugar, Sr. did not participate in these negotiations. Id. at 88:14-17. 8. During the negotiations Defendant discussed a permanent 2009 federal injunction with Plaintiffs. Id. The 2009 injunction pertained to Elvin Jennings purchase of No. 8 Turquoise from the Fay Ward Estate (Ward Turquoise). See Ex. F at 14-17. Some of the Ward Turquoise was wrongfully removed before Mr. Jennings retrieved it. Defendant told Plaintiffs that their No. 8 Turquoise might be subject to the 2009 injunction. Doc.

102 at 31:8-12. 9. On August 16, 2017, Paul Sugar, Jr. texted Defendant an address: 25 Dalton Place, Moriarty, New Mexico, 87035. This was Paul Sugar, Sr.'s address, and the place where Plaintiffs' stored their No. 8 Turquoise. Ex. 4 at 1. 10. On August 16, 2017, Defendant’s father, Steve Tackett, Jack Elkins and Josh went to Paul Sugar, Sr.'s address and took the No. 8 Turquoise from Moriarty, New Mexico to Flagstaff, Arizona. Doc. 102 at 67:14. Paul Sugar, Jr. and Defendant were not present when the No. 8 Turquoise was moved. 11. For approximately 30 years, Paul Sugar, Jr. had known and trusted Jack Elkins. Mr.

Elkins was part of Paul Sugar, Jr.'s "inner circle of friends" or "trusted circle." Also included in that trusted circle was Steve Harper, who Paul Sugar, Jr. had known for 35 years, and Frank Lente, who he had known for 10 years. Paul Sugar, Jr. had completed many deals with each of these men. Id. at 28-29. 12. Steve Tackett, Jack Elkins, and Josh took the Plaintiffs’ No. 8 Turquoise to Bleeker’s Boxes, a storage facility in Flagstaff, Arizona. Id. at 37:22-23. The leasing contract with Bleeker's Boxes is dated August 1, 2017. See Ex. 2. Defendant rented the storage facility under the name “Paul Sugar.” Id. 13. Defendant signed the leasing contract with Bleeker's Boxes without Plaintiffs' knowledge or consent. Doc. 102 at 38. 14. Sometime after the No. 8 Turquoise was moved to Flagstaff, Paul Sugar, Sr. met Defendant at Bleeker's Boxes. Id. at 89:11-13. During the visit he saw the No. 8 Turquoise in the storage area. On that day, two locks were placed on the storage

container. Defendant kept the key to one of the locks, and Paul Sugar, Sr. kept the key to the second lock. Id. at 90:5-12. 15. On August 23, 2017, Defendant hand wrote a document memorializing that Paul Sr has done nothing wrong in my eyes Paul Sr did not in anyway know of any stolen material of #8 type. Paul Sr has worked with me to recover any stolen #8 Rock and will continue I do not wish to accuse or harm him [sic] of any wrong doing in past or future.

The note is signed by both Defendant and Paul E Sugar, [Sr.] and dated August 23, 2017. Ex. 8. 16. After Plaintiff's No. 8 Turquoise was moved to Flagstaff, both Jack Elkins and Defendant called Paul Sugar, Jr. and told him that there was 130,000 pounds of No. 8 turquoise for sale on the Asian market. Doc. 102 at 39:9-12. 17. Defendant asked Paul Sugar, Jr. for his help in locating the seller of the No. 8 turquoise for sale in the Asian market. Id. at 39:18-22. 18. Paul Sugar, Jr. told Defendant that the seller of the No. 8 Turquoise in the Asian market was Pam and Dan Harrington. The Harringtons were selling this turquoise through third unnamed parties. Paul Sugar, Jr. gave Defendant the Harrington's phone number. Id. at 40:15-21. 19. Between 2017 and 2019, the No. 8 Turquoise remained in Defendant's possession. 20. On August 8, 2019, United States Magistrate Judge William G. Cobb in the United States District Court of Nevada entered a stipulated preliminary injunction in a federal case in the district of Nevada that prohibited Defendant from selling “Number 8 Turquoise acquired by No. 8 Mine, LLC/David Tackett from Paul Sugar, Sr. and/or Paul Sugar, Jr.” Ex. 12 at 2-3.

21. After the Nevada court dissolved the preliminary injunction, on May 14, 2021, Defendant entered into a sale and purchase agreement of the No. 8 Turquoise with a third party. Doc. 61. 22. On May 11, 2021, Defendant told Angelo J. Artuso, Plaintiffs' counsel, that the No. 8 turquoise obtained from Plaintiff was still stored at Bleeker’s Boxes. Doc. 49-4 ¶ 3. 23. One week later, on May 18, 2021, Defendant told Mr. Artuso that he had sold the No. 8 Turquoise obtained from Plaintiffs to a third party, and it was no longer at Bleeker’s Boxes. Id. ¶ 4. B. Florida Property

24. On July 18, 2017, Plaintiff Paul Sugar, Jr. and his wife, Kim Sugar made an offer on a parcel of real property described as Lot 9, Mariners Cove, in Okaloosa County, Florida, at 20 Neptune Drive, Mary Esther, Florida, 32569, (“Florida Property”). Ex. 3. The offer required an initial deposit of $ 1,000.00. Id. The purchase price of the property was $ 260,000.00. Id. 25.

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