Munoz v. Branch Banking & Trust Co.

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Appellants borrowed money from Colonial Bank and granted the bank a security interest in their real property. The FDIC assigned Appellants’ loan to Branch Banking and Trust Company, Inc. (BB&T) after placing Colonial into receivership. After Appellants defaulted on their loan, BB&T instituted an action for a judicial foreclosure of the secured property. Two years later, Nev. Rev. Stat. 40.459(1)(c), which implements certain limitations on the amount of a deficiency judgment that can be recovered by an assignee creditor, became effective. After the property was sold at a sheriff’s sale, BB&T filed a motion seeking a deficiency judgment against Appellants for the remaining balance of the loan. The district court awarded a deficiency judgment to BB&T, finding that section 40.459(1) did not apply to BB&T’s application for a deficiency judgment. The Supreme Court affirmed on the grounds that section 40.459(1)(c) was preempted by the federal Financial Institutions Reform, Recovery and Enforcement Act (FIRREA) to the extent that section 40.459(1)(c) limits deficiency judgments that may be obtained from loans transferred by the FDIC, as section 40.459(1)(c) conflicts with FIRREA’s purpose of facilitating the transfer of the assets of failed banks to other institutions. View "Munoz v. Branch Banking & Trust Co." on Justia Law