By the Consumer Financial Services and Mortgage Banking Groups
Under New Jersey's "Entire Controversy Doctrine," borrowers alleging unfair mortgage lending practices must raise such claims during the foreclosure proceeding itself.
In Napoli v. HSBC Mortgage Services, Inc., the U.S. District Court for the District of New Jersey held that the Entire Controversy Doctrine applied to foreclosure actions, and therefore borrowers were barred from asserting a post-judgment claim against their mortgage lender and its servicer alleging improper lending practices.
The Entire Controversy Doctrine is a New Jersey-specific doctrine of claim preclusion similar to, but broader than, res judicata and collateral estoppel (which prohibit a court from considering claims that could have been raised in a prior action). As the court explained, the Entire Controversy Doctrine "compels the parties, when possible, to bring all claims relevant to the underlying controversy in one legal action." Thus, parties are barred from raising, in a subsequent proceeding, any claims they knew or should have known about during a prior proceeding. The court specified that, as it applies to foreclosure actions, the Doctrine requires joinder of counterclaims that arise out of the mortgage that is the basis of the foreclosure. Such counterclaims include those relating to "payment and discharge, [and] incorrect computation of the amounts due."
In Napoli, the borrowers filed a post-judgment motion to stay foreclosure, claiming that the mortgage payoff balance required by the lender was "higher than expected," and that they needed more time to obtain the higher payoff amount through refinancing. The borrowers subsequently claimed that the payoff balance was miscalculated by the lender, and that this overcharge was wrongful and fraudulent. After the foreclosure was completed, the borrowers later filed a putative class action on behalf of themselves and others who allegedly experienced similar fraudulent business practices.
The court, citing the Entire Controversy Doctrine, refused to address the merits of the borrowers' claims, holding that "they should have been raised during the foreclosure proceeding." The court reasoned that not only were the borrowers' claims germane to the foreclosure proceeding, but the borrowers knew or should have known about the alleged discrepancy in payoff amount based on their prior claim that the payoff amount was higher than expected.
Plaintiffs argued that they lacked an opportunity to bring their claims during foreclosure because final judgment had already been entered when they received the payoff notice, and their claims arose between final judgment and receipt of the notice. But the court rejected their assertion, noting that the foreclosure court retained jurisdiction until at least the time when the borrowers tendered their payoff quote; thus, the borrowers "had a full opportunity to assert their claims during the prior foreclosure action."
Although New Jersey's Entire Controversy Doctrine is more strictly applied than res judicata and collateral estoppel, this decision serves as a reminder that, in states with judicial foreclosure processes, the requirement to bring a compulsory counterclaim in the foreclosure action can operate to prevent borrowers from asserting claims arising out of loans as to which a foreclosure has been completed. Lenders and servicers defending such actions should always evaluate the applicability of this defense where a lawsuit arises out of a loan that has been the subject of a judicial foreclosure.
Ballard Spahr's Consumer Financial Services Group is nationally recognized for its guidance in structuring and documenting new consumer financial services products, its experience with the full range of federal and state consumer credit laws throughout the country, and its skill in litigation defense and avoidance. The group includes the firm's Mortgage Banking Group, which combines broad regulatory experience assisting clients in both the residential and commercial mortgage industries with formidable skill in litigation and depth in enforcement actions and transactions.The CFS Group also produces CFPB Monitor, a blog that focuses exclusively on important Consumer Financial Protection Bureau developments. To subscribe to the blog, use the link provided on the right.For more information, please contact CFS Practice Leader Alan S. Kaplinsky at 215.864.8544 or email@example.com, Mortgage Banking Practice Leader Richard J. Andreano, Jr., at 202.661.2271 or firstname.lastname@example.org, Mortgage Banking Practice Leader John D. Socknat at 202.661.2253 or email@example.com, Mortgage Banking Practice Leader Michael S. Waldron at 202.661.2234 or firstname.lastname@example.org, Martin C. Bryce, Jr., at 215.864.8238 or email@example.com, Christopher J. Willis at 678.420.9436 or firstname.lastname@example.org, Daniel J.T. McKenna at 215.864.8321 or email@example.com, or Ross M. Speier at 678.420.9406 or firstname.lastname@example.org.
Copyright © 2012 by Ballard Spahr LLP.www.ballardspahr.com(No claim to original U.S. government material.)
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This alert is a periodic publication of Ballard Spahr LLP and is intended to notify recipients of new developments in the law. It should not be construed as legal advice or legal opinion on any specific facts or circumstances. The contents are intended for general informational purposes only, and you are urged to consult your own attorney concerning your situation and specific legal questions you have.
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