Sandpointe Apartments, LLC v. Eighth Judicial Dist. Court

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In 2007, Sandpointe Apartments obtained a loan secured by a deed of trust to real property. Stacy Yahraus-Lewis personally guaranteed the loan. After Sandpointe defaulted on the loan, the interest in the loan and guarantee was transferred to CML-NV Sandpointe, LLC. In 2011, CML-NV pursued its rights under the deed of trust's power of sale provision and purchased the property securing the loan at a trustee's sale. Thereafter, the Legislature enacted Nev. Rev. Stat. 40.459(1)(c), which limits the amount of a deficiency judgment that can be recovered by persons who acquired the right to obtain the judgment from someone else who held that right. Subsequently, CML-NV filed a complaint against Sandpointe and Yahraus-Lewis for deficiency and breach of guaranty. Yahraus-Lewis moved for partial summary judgment, requesting that the district court apply the limitation contained in section 40.459(1)(c) to CML-NV's action. The district court concluded that the statute applies only to loans entered into after June 10, 2011. Sandpointe and Yahraus-Lewis subsequently petitioned for a writ of mandamus or prohibition. The Supreme Court denied the writ, concluding that the statute may not apply retroactively, and therefore, the statute's limitations did not apply in this case.View "Sandpointe Apartments, LLC v. Eighth Judicial Dist. Court" on Justia Law