Window World of St. Louis, Inc. v. Window World, Inc.

2021 NCBC 65
CourtNorth Carolina Business Court
DecidedOctober 6, 2021
Docket15-CVS-2
StatusPublished

This text of 2021 NCBC 65 (Window World of St. Louis, Inc. v. Window World, Inc.) is published on Counsel Stack Legal Research, covering North Carolina Business Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Window World of St. Louis, Inc. v. Window World, Inc., 2021 NCBC 65 (N.C. Super. Ct. 2021).

Opinion

Window World of St. Louis, Inc. v. Window World, Inc., 2021 NCBC 65.

STATE OF NORTH CAROLINA IN THE GENERAL COURT OF JUSTICE SUPERIOR COURT DIVISION WILKES COUNTY 15 CVS 2

WINDOW WORLD OF ST. LOUIS, INC.; WINDOW WORLD OF KANSAS CITY, INC.; WINDOW WORLD OF SPRINGFIELD/PEORIA, INC.; JAMES T. LOMAX III; JONATHAN GILLETTE; B&E INVESTORS, INC.; WINDOW ORDER AND OPINION ON WORLD OF NORTH ATLANTA, PLAINTIFFS AND COUNTERCLAIM INC.; WINDOW WORLD OF CENTRAL ALABAMA, INC.; DEFENDANTS’ MOTION TO MICHAEL EDWARDS; MELISSA DISMISS ADDITIONAL EDWARDS; WINDOW WORLD OF COUNTERCLAIMS CENTRAL PA, LLC; ANGELL P. WESNERFORD; KENNETH R. FORD, JR.; WORLD OF WINDOWS OF DENVER, LLC; RICK D. ROSE; CHRISTINA M. ROSE; WINDOW WORLD OF LEXINGTON, INC.; TOMMY R. JONES; JEREMY T. SHUMATE; WINDOW WORLD OF PHOENIX LLC; JAMES BALLARD; and TONI BALLARD,

Plaintiffs, and

WINDOW WORLD OF ROCKFORD, INC.; WINDOW WORLD OF JOLIET, INC.; SCOTT A. WILLIAMSON; JENNIFER L. WILLIAMSON; and BRIAN C. HOPKINS,

Plaintiffs and Counterclaim Defendants,

v.

WINDOW WORLD, INC.; WINDOW WORLD INTERNATIONAL, LLC; and TAMMY WHITWORTH, individually and as trustee of the Tammy E. Whitworth Revocable Trust,

Defendants and Counterclaim Plaintiffs, v.

WINDOW WORLD OF BLOOMINGTON, INC.,

Counterclaim Defendant.

1. THIS MATTER is before the Court on Plaintiffs and Counterclaim

Defendants Scott A. Williamson (“Williamson”), Jennifer L. Williamson, Brian C.

Hopkins (“Hopkins”), Window World of Rockford, Inc. d/b/a Window World of

Rockford (“WW Rockford”), and Window World of Joliet, Inc. d/b/a Window World of

Joliet (“WW Joliet”; collectively, the “Williamson Plaintiffs”) and additional

Counterclaim Defendant Window World of Bloomington, Inc.’s (“WW Bloomington”)

Motion to Dismiss Additional Counterclaims (the “Motion”) filed 16 November 2020.

(ECF No. 848.)

2. The Motion seeks the dismissal of Defendants and Counterclaim Plaintiffs

Window World, Inc. (“WW”), Window World International, LLC (“WWI”; together, the

“Window World Defendants”), and Tammy Whitworth’s (“Whitworth”; collectively,

the “Defendants”) four newly asserted counterclaims (the “Additional

Counterclaims”), which allege that Defendants are entitled to declaratory, monetary,

and injunctive relief arising from Williamson’s purported breach of the release and

non-disparagement provisions of an agreement Williamson entered into with WW in

June 2013. 3. Having considered the Motion, the related briefs, the arguments of counsel

at the hearing on the Motion, and other appropriate matters of record, the Court

hereby GRANTS in part and DENIES in part the Motion as set forth below.

Brooks, Pierce, McLendon, Humphrey & Leonard LLP, by Andrew L. Rodenbough, Charles E. Coble, Robert J. King III, and Benjamin R. Norman, and Keogh Cox & Wilson, Ltd., by John P. Wolff, III, Virginia J. McLin, and Richard W. Wolff, for Plaintiffs Window World of St. Louis, Inc., Window World of Kansas City, Inc., Window World of Springfield/Peoria, Inc., James T. Lomax III, Jonathan Gillette, B&E Investors, Inc., Window World of North Atlanta, Inc., Window World of Central Alabama, Inc., Michael Edwards, Melissa Edwards, Window World of Central PA, LLC, Angell P. Wesnerford, Kenneth R. Ford, Jr., World of Windows of Denver, LLC, Rick D. Rose, Christina M. Rose, Window World of Rockford, Inc., Window World of Joliet, Inc., Scott A. Williamson, Jennifer L. Williamson, Brian C. Hopkins, Window World of Lexington, Inc., Tommy R. Jones, Jeremy T. Shumate, Window World of Phoenix LLC, James Ballard, and Toni Ballard and Counterclaim Defendant Window World of Bloomington, Inc.

Manning, Fulton & Skinner, P.A., by Judson A. Welborn, Michael T. Medford, Natalie M. Rice, and Jessica B. Vickers, and Laffey, Leitner & Goode LLC, by Joseph S. Goode, Mark M. Leitner, Jessica L. Farley, Sarah E. Thomas Pagels, and John W. Halpin, for Defendants Window World, Inc. and Window World International, LLC.

Bell, Davis & Pitt, P.A., by Andrew A. Freeman and Alan M. Ruley, for Defendant Tammy Whitworth.

Bledsoe, Chief Judge. I.

FACTUAL AND PROCEDURAL BACKGROUND

A. Factual Background

4. The Court does not make findings of fact on motions to dismiss under Rule

12(b)(6) of the North Carolina Rules of Civil Procedure (“Rule(s)”). Rather, the Court recites only those facts alleged in Defendants’ counterclaims relevant to the Court’s

determination of the Motion.

5. WW markets and distributes vinyl replacement windows, doors, and siding

by licensing independently owned and operated businesses to market and sell

Window World products. (Am. Answer, Countercls., & Additional Countercls.

Window World Defs. to Third Am. Compl. ¶ 3 [hereinafter “Additional Countercls.”],

ECF No. 836.) 1 WW now operates as a franchise system, (see Additional Countercls.

¶ 101), and Plaintiffs in this action are various Window World franchisees and

franchisee owners, (Additional Countercls. ¶ 7; see also Third Am. Compl. ¶¶ 12–49

[hereinafter “TAC”], ECF Nos. 275 (under seal), 280 (public)).

6. Since 2005, Williamson has been the sole owner of WW Rockford and,

through that entity, has operated a Window World store in Rockford, Illinois.

(Additional Countercls. ¶¶ 111–13.) Similarly, since 2010, Williamson and Hopkins

have been co-owners of WW Joliet and, through that entity, have operated a Window

World store in Joliet, Illinois. (Additional Countercls. ¶¶ 123–26.) Williamson was

also the sole owner of WW Bloomington, through which he operated a Window World

store in Bloomington, Illinois from 2007 until WW Bloomington was transferred to a

third party in 2013. (Additional Countercls. ¶¶ 121–22, 194.) While each of these

1 Whitworth filed her Amended Answer, Alternative Counterclaim, and Additional Counterclaims at ECF No. 835. The Window World Defendants filed a nearly identical Amended Answer, Counterclaims, and Additional Counterclaims (the “Window World Defendants’ Amended Answer and Counterclaims”) at ECF No. 836. To avoid confusion, the Court will reference only those facts alleged in the Window World Defendants’ Amended Answer and Counterclaims at ECF No. 836. Further, all citations to the Window World Defendants’ Amended Answer and Counterclaims refer to the paragraph numbers following the “Counterclaim” section beginning on page 59 of ECF No. 836. locations was organized as a separate entity, they worked together, shared resources,

and were otherwise associated. (Additional Countercls.¶¶ 127–28, 194.)

7. Williamson served as the President of all three entities. (Additional

Countercls. ¶¶ 134–36.) Defendants also allege that Jennifer Williamson—

Williamson’s wife—was an officer, representative, and agent of each entity,

(Additional Countercls. ¶¶ 102, 159–69), and that Hopkins—Williamson’s business

partner and the Williamsons’ in-law—was likewise an agent and representative of

each, (Additional Countercls. ¶¶ 103, 140–45).

8. In 2013, Williamson decided to transfer ownership of WW Bloomington to a

third party. (Additional Countercls. ¶ 205.) Under WW’s agreement with WW

Bloomington, the transfer required WW’s prior written consent. (Additional

Countercls. ¶ 212; see Additional Countercls. Ex. T, ECF No. 835.20.) In June 2013,

WW’s President and Williamson, as President of WW Bloomington, executed an

agreement permitting the transfer of WW Bloomington to a third-party purchaser

(the “June 2013 Agreement”). (Additional Countercls. ¶¶ 213–20; Additional

Countercls. Ex. A [hereinafter “June 2013 Agreement”], ECF No. 835.1.)

9.

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