Loughran v. Wells Fargo Bank, N.A., No. 19-3530 (7th Cir. 2021)
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The Loughrans defaulted on their home mortgage in 2011. In the ensuing foreclosure litigation, the Loughrans pursued procedural delay tactics; they remain in possession of their home despite not having made a mortgage payment in nine years. In 2019, with their state‐court foreclosure litigation more than seven years old, the Loughrans accused U.S. Bank and its counsel of committing fraud in the course of those proceedings. Months later, sensing that their fraud claim was going nowhere, the Loughrans went to federal court, with a complaint that copied and pasted large swaths of text from their state‐court filings.
The district court stayed the federal proceedings, noting the practical identity between the federal and state actions. The Seventh Circuit affirmed, first concluding that it had appellate jurisdiction because the stay order was entered with the expectation that the state litigation would “largely” resolve the federal litigation. The district court properly stayed the case; the state action will likely “dispose of a majority of the factual and legal issues,” so a stay saved judicial resources. At the time of the order, the state‐court proceedings were well advanced, The Loughrans essentially were asking the federal judiciary to monitor and discipline how parties conduct themselves in state court.
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