Valuex Research LLC

CourtUnited States Bankruptcy Court, D. Connecticut
DecidedSeptember 12, 2023
Docket22-50693
StatusUnknown

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

Bluebook
Valuex Research LLC, (Conn. 2023).

Opinion

UNITED STATES BANKRUPTCY COURT DISTRICT OF CONNECTICUT

____________________________________ In re: ) ) CASE No. 22-50693 (JAM) VALUEX RESEARCH, LLC ) ) CHAPTER 7 Putative Debtor. ) ____________________________________) RE: ECF No. 16

APPEARANCES Mr. Eric Ross 1450 Washington Boulevard, 1602S Stamford, CT 06902

Pro Se Petitioning Creditor

Joseph J. D’Agostino, Jr. 1062 Barnes Road, Suite 108 Wallingford, CT 06492

Counsel for Petitioning Creditors Francine Ross, Justin Ross, Carrie Kendall (Ross), Landy Properties, LLC, The Ross Trust, Arthur Blick, and Lauren Blick

John F. Carberry Cummings & Lockwood Six Landmark Square Stamford, CT 06901

Counsel for Putative Debtor Valuex Research, LLC

MEMORANDUM OF DECISION AND ORDER GRANTING MOTION TO DISMISS INVOLUNTARY PETITION AFTER TRIAL

Julie A. Manning, United States Bankruptcy Judge

I. INTRODUCTION Before the Court is a Motion to Dismiss an involuntary petition (the “Motion to Dismiss,” ECF No. 16) filed by petitioning creditors against Valuex Research, LLC (“Valuex Research”). The Motion to Dismiss asserts that the involuntary petition (the “Involuntary Petition,” ECF No. 1) was filed against Valuex Research in bad faith and seeks dismissal under 11 U.S.C. § 303. For the reasons stated below, the Motion to Dismiss is GRANTED pursuant to 11 U.S.C. § 707(a). II. BACKGROUND On December 27, 2022, Mr. Eric Ross, Ms. Francine Ross, Mr. Justin Ross, Ms. Carrie

Kendall (Ross), Landy Properties LLC, the Ross Trust, Mr. Arthur Blick, and Ms. Lauren Blick commenced this involuntary Chapter 7 case against Valuex Research. In addition to Valuex Research, the Involuntary Petition lists three other entities as aliases of Valuex Research: Valuex Fintech LLC, Valuex LLC, and Valuex Inc. (ECF No. 1., at p. 1.) On January 23, 2023, the Court entered an Order to Appear and Show Cause why the Involuntary Petition should not be dismissed for failure to demonstrate that the Amended Involuntary Summons (ECF No. 3) was properly served on Valuex Research (the “Order to Appear and Show Cause,” ECF No. 7). The Order to Appear and Show Cause also ordered all of the petitioning creditors to appear at the Show Cause hearing scheduled to be held on January 31,

2023. Mr. Eric Ross appeared at the Show Cause hearing, but none of the other seven petitioning creditors appeared. Following the Show Cause hearing, the Clerk’s Office received a document entitled Certificate of Service signed by Mr. Charles Sutter regarding service of the Involuntary Petition on Valuex Research. (ECF No. 11.) On February 23, 2023, Attorney John F. Carberry (“Attorney Carberry”) filed a Notice of Appearance on behalf of Valuex Research (ECF No. 12) and filed a Motion to Extend Time to Respond to Involuntary Petition (ECF No. 13), which the Court granted (ECF No. 14). On March 27, 2023, Valuex Research filed the Motion to Dismiss. On April 24, 2023, Mr. Eric Ross filed an objection to the Motion to Dismiss on behalf of all the petitioning creditors. (The “Ross Objection,” ECF No. 20.) Shortly thereafter, on April 28, 2023, Attorney Joseph J. D’Agostino, Jr. (“Attorney D’Agostino”) filed a Notice of Appearance on behalf of seven (7) of the petitioning creditors—Ms. Francine Ross, Mr. Justin Ross, Ms. Carrie Kendall

(Ross), Landy Properties LLC, the Ross Trust, and Mr. Arthur Blick (collectively, the “Investor Group”), and Ms. Lauren Blick. Although the Ross Objection was filed on behalf of all of the petitioning creditors, on May 31, 2023, Attorney D’Agostino filed a separate objection to the Motion to Dismiss on behalf of the Investor Group and Ms. Lauren Blick (ECF No. 35). No attorney has filed an appearance on behalf of Mr. Eric Ross (hereinafter, “Mr. Ross”) and he has proceeded pro se since filing the Involuntary Petition. On May 2, 2023, an initial hearing was held on the Motion to Dismiss. Attorney Carberry, Attorney D’Agostino, and Mr. Ross appeared at the hearing. During the hearing, the Court ordered a trial to be held on the Motion to Dismiss.

The trial on Motion to Dismiss was commenced and concluded on August 16, 2023. During the trial, Attorney Carberry called Mr. Ross and Ms. Ulrika Johansson (“Ms. Johansson”) as witnesses. Attorney D’Agostino cross-examined both witnesses, and Mr. Ross was allowed to cross-examine Ms. Johansson. Aside from Mr. Ross, none of the other petitioning creditors appeared at or testified during the trial. In addition to testimony, Attorney Carberry, Attorney D’Agostino, and Mr. Ross admitted thirty-nine (39) exhibits into evidence.1

1 On August 23, 2023, Mr. Ross filed an Amended Involuntary Petition (ECF No. 53). On August 28, 2023, Attorney D’Agostino filed a Motion to Extend Time to Cure Deficiency (ECF No. 57). On August 31, 2023, Attorney D’Agostino filed a separate Amended Involuntary Petition (ECF No. 59). These documents were filed after the close of evidence at the conclusion of trial and will therefore not be considered by the Court. III. JURISDICTION The United States District Court for the District of Connecticut has jurisdiction over this matter pursuant to 28 U.S.C. § 1334(b). This Court has authority to hear and determine this matter pursuant to 28 U.S.C. § 157(a) and the Order of Reference of the United States District Court for the District of Connecticut dated September 21, 1984. The instant proceedings are

statutorily core proceedings. 28 U.S.C. § 157(b)(2)(A). Venue in this District is proper pursuant to 28 U.S.C. §§ 1408 and 1409. IV. FINDINGS OF FACT Pursuant to Fed. R. Civ. P. 52(a) and Fed. R. Bankr. P. 7052, the following are the Court’s findings of fact with respect to the Motion to Dismiss: The Involuntary Petition 1. On December 27, 2022, the Involuntary Petition was filed by Mr. Ross. In addition to Mr. Ross, Ms. Francine Ross, Mr. Justin Ross, Ms. Carrie Kendall (Ross), Landy Properties LLC, the Ross Trust, Mr. Arthur Blick, and Ms. Lauren Blick are listed as the petitioning

creditors on the Involuntary Petition. (ECF No. 1.) 2. Mr. Ross is the only petitioning creditor who personally signed the Involuntary Petition. (ECF No. 52, at 11:03:09–11:03:23 a.m.)2 3. All of the handwriting on the Involuntary Petition is Mr. Ross’s handwriting. The handwritten signatures of all the petitioning creditors, including his own, were signed by Mr. Ross in his handwriting. (ECF No. 52, at 10:53:03–11:02:39 a.m.) 4. Mr. Ross signed the Involuntary Petition on behalf of Landy Properties LLC and Mr. Bruce Ross, as trustee, of The Ross Trust. (ECF No. 52, at 10:51:02–10:51:09 a.m., 10:55:43–

2 ECF No. 52 is the audio recording of the trial held on August 16, 2023. 11:04:44.) Mr. Ross is not a managing member of Landy Properties, LLC or a trustee of the Ross Trust. (ECF No. 52, at 10:58:17–10:59:05 a.m.) 5. Mr. Ross signed the Involuntary Petition on behalf of his children, Mr. Justin Ross and Ms. Carrie Kendall (Ross). Mr.

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