ResCap Liquidating Trust v. Primary Residential Mortgage, No. 21-2139 (8th Cir. 2023)
Annotate this Case
ResCap Liquidating Trust (“ResCap”) pursued indemnification claims against originator Primary Residential Mortgage, Inc. (“PRMI”), a Nevada corporation. ResCap asserted breach of contract and indemnification claims, seeking to recover a portion of the allowed bankruptcy claims for those holding units in the liquidating trust. The district court concluded that ResCap had established each element of its contractual indemnification claim. The district court awarded ResCap $10.6 million in attorney’s fees, $3.5 million in costs, $2 million in prejudgment interest, and $520,212 in what it termed “post-award prejudgment interest” for the period between entry of judgment and the order awarding attorney’s fees, costs, and prejudgment interest. Defendant appealed.
The Eighth Circuit remanded for a recalculation of postjudgment interest but otherwise affirmed. The court explained that the district court held that, as a matter of Minnesota law governed by Section 549.09, a final judgment was not “finally entered” until its Judgment in a Civil Case resolving attorney’s fees, costs, and interest was entered on April 28, 2021, and therefore Minnesota’s ten percent prejudgment rate applied in the interim period. But Section 1961(a) does not say “final judgment,” it says “money judgment.” The district court, on August 17, 2020, entered a “money judgment.” Thus, the district court erred in applying Minnesota law to calculate interest after August 17, 2020, rather than 28 U.S.C. Section 1961(a).
Court Description: [Loken, Author, with Colloton and Shepherd, Circuit Judges] Civil case - Residential Mortgage-backed Securities. In this action the liquidating trust formed as part of the bankruptcy of Residential Funding Company attempted to recover funds from Primary Residential Mortgage, one of the loan initiators who sold Residential Funding defective or unrecoverable loans prior to collapse of the mortgage market in 2008. In the action, the liquidating trust alleged fraud and breach of contract. The district court's judgement in favor the liquidating trust and its award of damages and attorneys' fees and costs is affirmed; however, the district court erred when it did not apply the federal statute on interest rates - 28 U.S.C. Sec. 1961 - in calculating prejudgment interest.
Some case metadata and case summaries were written with the help of AI, which can produce inaccuracies. You should read the full case before relying on it for legal research purposes.
This site is protected by reCAPTCHA and the Google Privacy Policy and Terms of Service apply.