Sweetapple v. Asset Enhancement, Inc., No. 22-11389 (11th Cir. 2023)
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In this case, the United States Court of Appeals for the Eleventh Circuit dealt with the question of when an order finding contempt becomes a final, appealable order. The case arose from a dispute between Robert A. Sweetapple and Asset Enhancement, Inc., in which Sweetapple was found in contempt by a bankruptcy court for violating an automatic stay. The bankruptcy court awarded Asset Enhancement attorney's fees and costs for filing and prosecuting its motion for contempt, but did not specify the amount. The amount was later determined in a subsequent order. Sweetapple appealed the contempt order to the district court, but the district court dismissed his appeal as untimely, reasoning that the contempt order was a final, appealable order when it was issued, not when the amount of the attorney's fees was later determined. Sweetapple then appealed to the Eleventh Circuit.
The Eleventh Circuit held that the contempt order did not become a final, appealable order until the bankruptcy court issued the later order setting the amount of attorney's fees to be awarded. The court reasoned that this rule avoided the risk of disrupting ongoing proceedings and was consistent with its precedent. Accordingly, since Sweetapple filed his appeal within fourteen days of the bankruptcy court's issuance of the later order, his appeal of the contempt order was timely and the district court had jurisdiction over the appeal. The court vacated the district court's dismissal of Sweetapple's appeal and remanded the case to the district court for further proceedings.
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