This summary was computer-generated without any editorial revision. It is not official, has not been checked for accuracy, and is NOT citable.
Facts
- The homeowner executed a promissory note to Countrywide Home Loans, Inc. for $140,000 to purchase a home and signed a mortgage contract with Mortgage Electronic Registration Systems (MERS) as nominee for Countrywide. MERS assigned the mortgage to The Bank of New York Mellon, which then filed a foreclosure complaint, claiming ownership of the mortgage and the note. The homeowner contested the Bank's standing, arguing that the Bank needed to own both the mortgage and the promissory note to bring the action (paras 2-3).
Procedural History
- [Not applicable or not found]
Parties' Submissions
- Plaintiff-Appellee (The Bank of New York Mellon): Argued that it had standing to bring its foreclosure claim by virtue of being the owner of the mortgage and the holder in due course of the note. Asserted that the assignment of the mortgage by MERS effectively assigned the note as well because the note is secured by the mortgage (paras 3, 4, 8, 11).
- Defendant-Appellant (Homeowner): Contended that the Bank failed to show it had standing to bring its foreclosure claim, arguing that to bring the action, the Bank was required to own both the mortgage and the promissory note. Highlighted the absence of evidence showing the Bank owned the note (para 2).
Legal Issues
- Whether the Bank had standing to bring a foreclosure suit against the homeowner by demonstrating the right to enforce both the promissory note and the mortgage lien on the property at the time it filed its complaint (para 8).
Disposition
- The district court order granting summary judgment in favor of the Bank was reversed, and the case was remanded for further proceedings consistent with the Opinion (para 14).
Reasons
-
The Court, with an opinion authored by Judge Michael E. Vigil and concurrences from Judges James J. Wechsler and Timothy L. Garcia, found that the Bank failed to establish standing to bring the foreclosure suit. The Court determined that standing must be established at the commencement of a suit and that the Bank needed to demonstrate the right to enforce both the promissory note and the mortgage lien at the time it filed its complaint. The Court concluded that the Bank's failure to prove it was entitled to enforce the note as of the date the complaint was filed constituted a failure to establish standing, which is a jurisdictional defect. The Court's decision was influenced by the Supreme Court's clarification on standing as a jurisdictional prerequisite and the distinct contractual functions of a note and a mortgage. The assignment of the mortgage by MERS to the Bank was deemed ineffective to establish the Bank’s right to enforce the note, and the Bank's possession of a note indorsed in blank, without evidence of possession at the time of filing the complaint, was insufficient to establish standing (paras 5-13).
You are being directed to the most recent version of the statute which may not be the version considered at the time of the judgment.