This summary was computer-generated without any editorial revision. It is not official, has not been checked for accuracy, and is NOT citable.
Facts
- CitiFinancial Servicing, LLC initiated a foreclosure action on a mortgage securing a promissory note executed by Rose Gomez, who had passed away before the lawsuit began. The note had allegedly been lost. CitiFinancial later filed a motion to substitute CitiMortgage, LLC as the plaintiff, claiming the right to enforce the note had been transferred to CitiMortgage during the litigation (paras 2-3).
Procedural History
- District Court of Bernalillo County: Granted motion to substitute CitiMortgage, LLC as plaintiff and entered summary judgment in favor of Defendant Lorraine Garcia, concluding Plaintiff lacked standing to enforce the lost note (paras 2-4).
Parties' Submissions
- Plaintiff: Argued that as the assignee of the lost promissory note, it had the right to enforce the note under Section 55-3-309 of the NMUCC, despite not having possession of the note when it was lost (para 5).
- Defendant: Contended that Plaintiff lacked standing to enforce the note because it was lost and Plaintiff did not have the rights of a holder in due course. Defendant relied on Section 55-3-305(c) to support the argument that an obligor is not obliged to pay a lost instrument if the person seeking enforcement does not have rights of a holder in due course (para 3).
Legal Issues
- Whether the assignee of a lost negotiable instrument can obtain the right to enforce that instrument under Section 55-3-309 of the NMUCC by virtue of the assignment (para 5).
- Whether Defendant's cross-appeal on the issue of Section 55-3-305(c) has merit (para 24).
Disposition
- The Court of Appeals reversed the district court's decision and remanded for further proceedings consistent with its opinion (para 27).
Reasons
-
The Court of Appeals, with Judges Ives, Medina, and Duffy concurring, held that the assignment of a lost instrument carries with it the right to enforce because this interpretation furthers the policies and purposes underlying the NMUCC. The court emphasized that the NMUCC does not displace the general rule that an assignee stands in the assignor’s shoes and that adequate protection must be provided to the person required to pay the instrument against loss that might occur due to a claim by another person to enforce the instrument. The court also found Defendant's cross-appeal on the issue of Section 55-3-305(c) to lack merit, explaining that the statute addresses third-party rights defenses and does not create a defense against enforcement of an instrument that cannot be produced by the person seeking enforcement because it has been lost by or stolen from that person (paras 5-26).
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.