Corrales Favila v. Pasquarella
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The Court of Appeal affirmed the trial court's grant of plaintiff's motion to further amend the judgment entered against Raleigh Souther and Get Flipped, Inc. by adding defendant as a judgment debtor.
The court concluded that adding defendant as a judgment debtor is neither unnecessary nor unfair; the order was not barred by claim or issue preclusion; and the record adequately supports the trial court's order. In this case, the Estate presented evidence that Moofly Productions was inadequately capitalized since all of its assets were being controlled by defendant and, as a corollary, that the entity and defendant had commingled funds. Furthermore, other facts considered in alter ego cases, an arguable lack of adherence to corporate formalities and business registration laws, also supported the trial court's determination. Most importantly, as established by the fraudulent conveyance judgment when considered together with the additional information concerning defendant's control of the Moofly Productions' bank accounts, failing to formally recognize defendant as a judgment debtor would produce an inequitable result, effectively preventing the Estate from enforcing the judgment it had obtained against Get Flipped, precisely the corrupt goal defendant sought to achieve. The court noted that the issue of control is not significant under the circumstances here. In any event, a judgment debtor may be added if the equities overwhelmingly favor the amendment and it is necessary to prevent an injustice, even if all the formal elements generally necessary to establish alter ego liability are not present. Finally, the court concluded that the amendment is not barred by laches.
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