Wing v. Goldman Sachs Trust Co., N.A.
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In this case involving the extent of a a trustee's duties and powers concerning litigation challenging trust amendments the Supreme Court held that the subject trustee had the power to defend the litigation and that the court of appeals erred by applying N.C. Gen. Stat. 31-36, a statute applicable to will caveats, to this trust proceeding.
Plaintiffs brought this litigation seeking to set aside certain amendments to a Trust created by the decedent. Plaintiffs sought relief against the trustee, Goldman Sachs Trust Co., N.A., for what they claimed were invalid distributions to defendant beneficiaries. Defendant beneficiaries sought an order directing Goldman Sachs to pay them the costs of defending the Trust, after which one plaintiff filed a motion to "Freeze Administration of Revocable Trust Until Beneficiaries Are Determined or...to Pay Defense Costs for All Purported Beneficiaries." The trial court granted the motions to pay. The court of appeals reversed and remanded to the trial court for entry of an order allowing the motion to freeze. The Supreme Court held (1) the trial court did not err by instructing Goldman Sachs to pay defendant beneficaries' litigation expenses as distributions in this action; and (2) a duty to defend under N.C. Gen. Stat. 36C-8-811 arises only when the action may result in a loss to the trust estate.
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