CRG Partners Group, LLC v. Neary, No. 11-10774 (5th Cir. 2012)
Annotate this CaseAt issue in this case was whether the Supreme Court's decision in Perdue v. Kenny A. ex rel Winn, which curtailed the authority of district courts to award fee enhancements in federal fee-shifting cases, unequivocally overruled the Fifth Circuit Court of Appeals' precedent in the bankruptcy arena. Here Debtors filed for chapter 11 bankruptcy protection. Debtors retained Appellee to assist in their restructuring process. After Debtors' bankruptcy plan was confirmed by the bankruptcy court, Appellee requested approval of a $1 million fee enhancement. The bankruptcy court denied the request because Appellee failed to satisfy the strict requirements of the Supreme Court's holding in Perdue. The district court reversed, holding that the bankruptcy court erred in treating the federal fee-shifting decision in Perdue as binding authority in a bankruptcy proceeding. On remand, the bankruptcy court awarded Appellee the $1 million fee enhancement. The Fifth Circuit Court of Appeals affirmed, holding that Perdue did not unequivocally, sub silentio overrule the Fifth Circuit's prior precedent.
The court issued a subsequent related opinion or order on August 15, 2012.
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