Swope v. BG Petroleum, LLC

CourtUnited States Bankruptcy Court, W.D. Pennsylvania
DecidedDecember 2, 2021
Docket19-07014
StatusUnknown

This text of Swope v. BG Petroleum, LLC (Swope v. BG Petroleum, LLC) is published on Counsel Stack Legal Research, covering United States Bankruptcy Court, W.D. Pennsylvania primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Swope v. BG Petroleum, LLC, (Pa. 2021).

Opinion

IN THE UNITED STATES BANKRUPTCY COURT FOR THE WESTERN DISTRICT OF PENNSYLVANIA IN RE: ) Bankruptcy No. 13-70334-JAD ) BG PETROLEUM, LLC, ) Chapter 7 ) Debtor. ) xX ) Adversary No. 19-07014-JAD THE ESTATE OF BG PETROLEUM, ) LLC BY AND THROUGH THE ) Related to ECF No. 354 CHAPTER 7 TRUSTEE, LISA M. ) SWOPE, and TIMCO, LTD, ) ) Plaintiffs, ) vs. ) ) COMMUNITY STATE BANK OF ) ORBISONIA, PHILIPPIANS PLACE, ) LLC, BWEX16509, LLC, ) BWWORFORD, LLC, BWSUN16490,) LLC, GERALD DEVER, DANIEL & ) DEWEY, LP, McANENY ) BROTHERS, INC., and EAST ) PROVIDENCE TOWNSHIP, ) ) Defendants. ) eae lc

MEMORANDUM OPINION The matter before the Court is the Defendant Community State Bank of Orbisonia’s Motion to Dismiss Fourth Amended Adversary Complaint Pursuant to Federal Rule of Cwil Procedure 12(b)(6) as Incorporated Into Bankruptcy Rule 7012 (the “Motion to Dismiss,” ECF No. 354).! For the reasons stated below, the Court

1 The caption of this Memorandum Opinion has been amended from that of the Motion to Dismiss to reflect the removal of certain parties as directed by the Order of Court dated September 29, 2021. See ECF No. 368 at 4 2.

will issue an Order dismissing the Plaintiffs Fourth Amended Adversary Complaint (the “Complaint,” ECF No. 283) as to Defendant, Community State Bank of Orbisonia. I. The Motion to Dismiss is a core proceeding over which this Court has the requisite subject matter jurisdiction to enter final judgment pursuant to 28 U.S.C. §§ 1334(b), 157(b)(1) and 157(b)(2)(H). II. The facts and history of the adversary proceeding are substantial. As this Court writes primarily for the benefit of the parties to the Motion to Dismiss, the Court presumes familiarity and will only set forth those allegations contained within the Complaint that are necessary for resolution of the Motion to Dismiss. The above-captioned adversary proceeding was commenced by the Plaintiffs, the Estate of BG Petroleum by and through the Chapter 7 Trustee, Lisa M. Swope (the “Trustee”), and Timco, Ltd. (“Timco,” and together with the Trustee, the “Plaintiffs”) on August 8, 2019. On May 18, 2021, the Plaintiffs filed their Fourth Amended Adversary Complaint, wherein Defendant, Community State Bank of Orbisonia (“CSB”) was named as a defendant in this action for the first time. The claims asserted against CSB in the Complaint include: (a) at Count il, fraudulent transfer under 11 U.S.C. § 549 [sic]?; (b) at Count IV, fraudulent

2 As discussed below, the Plaintiffs assert a claim relating to “fraudulent transfer under 11 U.S.C. § 549.” However, section 549 pertains to “postpetition transactions,” whereas section 548 addresses “fraudulent transfers and obligations.”

transfer under 12 Pa. Cons. Stat. § 5104(a)(1); (c) at Count V, violation of 18 U.S.C. § 1962(a); (d) at Count VII, violation of 18 U.S.C. § 1962(c); (e) at Count VUI, violation of 18 U.S.C. § 1962(d)s; (f} at Count X, civil conspiracy; and, (g) at Count XI, concerted action. The “RICO” claims against CSB (i.e. Counts V, VII, and VIII, asserting violations under 18 U.S.C. 8§ 1962(a), (c), and (d)) have since been stipulated as dismissed. The allegations against CSB primarily stem from two refinancing transactions specific to real property located at 720 Lincoln Highway, McConnellsburg, Pennsylvania (the “Lincoln Highway Property”)* and 201 North Jefferson Street, Mount Union, Pennsylvania (the “Jefferson Street Property”)*®. At the time of the

3 In the Complaint, the Plaintiffs label this count as “Count XIII” instead of “VIII.” Given the numerical sequencing of the counts, this appears to be a typo. 4 As with many things in this case, the correct address of this property is not entirely straightforward. In the averments of the Complaint, the Plaintiffs identify the property as “720 Lincoln Highway, McConnellsburg, PA.” See Complaint 44 127(d), 142 &143. However, in the documents comprising the October 16 Report of Sale (Exhibit 10 to the Complaint) referenced in paragraph 127, the property is identified as having an address of “720 Lincoln Way,” and also “720 Lincoln Way East.” See Complaint, Ex. 10 at 161 & 168 § G. The documents provided relating to the refinancing also list the property as “720 Lincoln Way East” (see Complaint, Ex. 15 at 439, Ex. 16 at 441, 445 & 446, and Ex. 17 § G). As neither party raised any issue regarding the multiple identifiers, the Court will presume for the limited purposes of this Memorandum Opinion that the multiple addresses refer to the same property. 5 In the Complaint, the Plaintiffs use both the address of “201 North Jefferson Street, Mount Union, PA” (see Complaint 9 127(c)) and “201 Jefferson Street, Mount Union, PA” (see Complaint qq 145-146). The Court notes that the documents attached as exhibits relating to the refinancing utilize the address of “201 North Jefferson Street.” See Complaint, Ex. 18 at 455, Ex. 19 at 457, and Ex. 20 §G.

refinancings, the properties were owned by 720 Lincoln Highway, LLC and 201 Jefferson Street, LLC, respectively. See Complaint 94 12’7(c) & (d).° It is alleged that the refinancing transactions were initiated by William Miller, on behalf of 720 Lincoln Highway, LLC and 201 Jefferson Street, LLC, and that the cash proceeds of the transactions were later used for the benefit of the “Bedford Defendants.”’ The Plaintiffs allege that the purpose of refinancing was to drain the properties of equity to make them unappealable for judgment execution. See Complaint 44 150-151. Moreover, that CSB “conspired with, abetted, acted in concert with, participated in, and aided in the Scheme,” ® or alternatively, that CSB “knew or should have known of the instant Adversary Action” prior to the refinancing transactions. CSB filed its Motion to Dismiss and supporting brief (the “Brief,” ECF No. 354-2) on September 8, 2021. Plaintiffs filed their response in opposition to the Motion to Dismiss on September 24, 2021. See Response in Opposition to Motion

6 All rights possessed by 720 Lincoln Highway, LLC and 201 Jefferson Street, LLC to the Lincoln Highway Property and the Jefferson Street Property have since been transferred to the Plaintiff, Estate of BG Petroleum, LLC, pursuant to the Order of Court dated September 29, 2021. See ECF No. 368 at 1-2, 1& 2. 7 The “Bedford Defendants” as defined in the Complaint consist of “William Muller, Attilio DeMarco, Diane DeMarco, the Miller Family Defendants, and the M/D Entity Defendants.” The “Miller Family Defendants” included Mary Miller, William J. Miller, III, Michael Kenan Miller, Jennifer Hurdle Miller, and Matthew O’Brien Miller.

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Swope v. BG Petroleum, LLC, Counsel Stack Legal Research, https://law.counselstack.com/opinion/swope-v-bg-petroleum-llc-pawb-2021.