Agstar Financial v. NW Sand & Gravel

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AgStar Financial Services, ACA (AgStar) appealed the district court’s award of attorney fees to Northwest Sand & Gravel, Inc., Gordon Paving Company, Inc., and Blackrock Land Holdings, LLC (collectively, Gordon Paving), following a deficiency proceeding. Gordon Paving’s cross-appeal asserted that the district court erred in three respects: (1) by permitting AgStar to sell personal property serving as collateral for Gordon Paving’s debt to AgStar after the district court determined that AgStar was not entitled to a deficiency judgment; (2) by awarding AgStar post-judgment attorney fees; and (3) allowing AgStar’s claim of exemption to a royalty check. AgStar moved the district court for an order directing Gordon Paving to transfer the titles of various vehicles that Gordon Paving had pledged as collateral for certain bond obligations to AgStar, and for a comfort order allowing AgStar to sell the personal property collateral at auction. Gordon Paving opposed AgStar’s motion, arguing that because the district court had already determined that AgStar had received real property worth more than the debt owed under the foreclosure judgment and denied AgStar a deficiency judgment, AgStar was estopped from selling any further collateral because Gordon Paving’s debt was extinguished. Gordon Paving moved for an award of attorney fees, asserting that, as the prevailing party in the deficiency proceeding, it was entitled to attorney fees. AgStar opposed Gordon Paving’s request for attorney fees. After review, the Supreme Court found: (1) the district court abused its discretion when it awarded attorney fees without first determining the prevailing party in the entire action; (2) the district court did not err when it held a bond agreement did not bar Gordon Paving from being awarded attorney fees; (3) the district court erred when it allowed AgStar to continue to sell the personal property collateral to satisfy the foreclosure judgment. The Court did not reach the issue of the district court’s award of post-judgment attorney fees to AgStar because Gordon Paving did not support its claim with sufficient argument or authority. As such, the Court reversed the district court’s order allowing AgStar to sell the personal property collateral to satisfy the foreclosure judgment; vacated the judgment awarding attorney fees and costs to Gordon Paving; and remanded for the district court to determine attorney fee and cost issues and for further proceedings. View "Agstar Financial v. NW Sand & Gravel" on Justia Law