40 West 67th Street
v. Pullman case brief summary
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790 N.E.2d 1174
CASE SYNOPSIS: The New York
Supreme Court denied summary judgment to plaintiff cooperative, and
dismissed its ejectment cause of action, rejecting a shareholder's
vote to terminate defendant shareholder-tenant (tenant). The
Appellate Division reversed that judgment and remanded the case for a
hearing on use and occupancy, legal fees and costs. The tenant
appealed that decision.
FACTS: The heart of the instant dispute was the parties' disagreement over the proper standard of review to be applied when a cooperative exercised its agreed-upon right to terminate a tenancy based on a shareholder-tenant's objectionable conduct. The tenant contended that the business judgment rule had no application, but that N.Y. Real Prop Acts Law § 711(1) required a court to make its own evaluation of the cooperative corporation board's (board) conduct based on a judicial standard of reasonableness.
HOLDING:
However, the instant court held that business judgment rule was applicable consistently with the statute, and the cooperative's determination as to the tenant's objectionable behavior was competent evidence necessary to sustain his ejectment.
ANALYSIS:
The cooperative followed the lease procedures and acted within the scope of its authority. Further, the tenant failed to show that the board's purpose was anything other than furthering the overall welfare of a cooperative, and that it could no longer abide the tenant's behavior. Finally, the tenant did not show the slightest indication of any bad faith, arbitrariness, favoritism, discrimination or malice on the cooperative's part.
CONCLUSION: The order of the appellate division was affirmed.
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FACTS: The heart of the instant dispute was the parties' disagreement over the proper standard of review to be applied when a cooperative exercised its agreed-upon right to terminate a tenancy based on a shareholder-tenant's objectionable conduct. The tenant contended that the business judgment rule had no application, but that N.Y. Real Prop Acts Law § 711(1) required a court to make its own evaluation of the cooperative corporation board's (board) conduct based on a judicial standard of reasonableness.
HOLDING:
However, the instant court held that business judgment rule was applicable consistently with the statute, and the cooperative's determination as to the tenant's objectionable behavior was competent evidence necessary to sustain his ejectment.
ANALYSIS:
The cooperative followed the lease procedures and acted within the scope of its authority. Further, the tenant failed to show that the board's purpose was anything other than furthering the overall welfare of a cooperative, and that it could no longer abide the tenant's behavior. Finally, the tenant did not show the slightest indication of any bad faith, arbitrariness, favoritism, discrimination or malice on the cooperative's part.
CONCLUSION: The order of the appellate division was affirmed.
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