By using this site, you agree to the Privacy Policy and Terms of Use.
Accept
Next Gen Econ
  • Home
  • News
  • Personal Finance
    • Credit Cards
    • Loans
    • Banking
    • Retirement
    • Taxes
  • Debt
  • Homes
  • Business
  • More
    • Investing
    • Newsletter
Reading: Single-Member LLC Fails To Protect Assets in Kentucky
Share
Subscribe To Alerts
Next Gen Econ Next Gen Econ
Font ResizerAa
  • Personal Finance
  • Credit Cards
  • Loans
  • Investing
  • Business
  • Debt
  • Homes
Search
  • Home
  • News
  • Personal Finance
    • Credit Cards
    • Loans
    • Banking
    • Retirement
    • Taxes
  • Debt
  • Homes
  • Business
  • More
    • Investing
    • Newsletter
Follow US
Copyright © 2014-2023 Ruby Theme Ltd. All Rights Reserved.
Next Gen Econ > Personal Finance > Single-Member LLC Fails To Protect Assets in Kentucky
Personal Finance

Single-Member LLC Fails To Protect Assets in Kentucky

NGEC By NGEC Last updated: June 10, 2024 7 Min Read
SHARE

Kevin Mattingly leased some property in Louisville, Kentucky, to Kevin Stich. When Stich didn’t pay Mattingly all he was owned under the contract, Mattingly sued Stich in Kentucky state court and won a default judgment against Stich for a little less than $75,000. Now it came time for Mattingly to enforce his judgment and to do so Mattingly obtained a charging order against Stich’s interest in several different limited liability companies (LLCs). The charging order was entered on August 24, 2020.

Stich owned an interest in Haunt Brothers, LLC, which was one of the companies whose interest was subject to Mattingly’s charging order. Almost two years after the charging order had been granted, Mattingly still had not been paid on his judgment nor had he received any distributions from any of Stich’s charged interests. Thus, on June 15, 2022, Mattingly moved the circuit court to order the foreclosure of Stich’s interest in Haunt Brothers, LLC. The circuit court granted Mattingly’s motion, and Stich appealed, leading to the opinion that we will next review in Stich v. Mattingly, 2024 WL 2788210 (Ky.App., May 31, 2024).

The Kentucky Court of Appeals looked at the Kentucky Limited Liability Company Act to resolve this appeal, and more specifically the charging order rules contained at K.R.S. § 275.260. The relevant provisions of § 276.260 are:

“(2) On application to a court of competent jurisdiction by a judgment creditor of a member or a member’s assignee, a court may charge the judgment debtor’s interest in the limited liability company with payment of the unsatisfied amount of the judgment. To the extent so charged, the judgment creditor has only the rights of an assignee and shall have no right to participate in the management or to cause the dissolution of the limited liability company. * * *

“(3) A charging order constitutes a lien on and the right to receive distributions made with respect to the judgment debtor’s limited liability company interest. A charging order does not of itself constitute an assignment of the limited liability company interest.

“(4) The court may order a foreclosure upon the limited liability company interest subject to the charging order at any time. The purchaser of the limited liability company interest at the foreclosure sale has the rights of an assignee.”

The court first noted that when Mattingly obtained a charging order against Haunt Brothers, LLC, all he got was a lien on Stich’s interest plus a right to receive any distributions that Stich was entitled to receive. Nothing more, nothing less. Mattingly could not take managerial action, cause dissolution, or do anything else in regard to Haunt Brothers, LLC, other than if distributions were sent to Stich, Mattingly was entitled to receive them until the judgment was satisfied.

Stich did not argue with any of this. Instead, Stich’s argument was that when the circuit court ordered foreclosure, that foreclosure was not on Stich’s entire interest, including such things as management rights, but only and exclusively on Stich’s right to receive distributions. Even then, Stich further argued, the distributions could only be foreclosed upon up to the amount of the judgment.

The Court of Appeals disagreed. If Stich’s argument were to be adopted, then Mattingly’s position would not improve through foreclosure, thus rendering the foreclosure part of the statute “essentially meaningless and hollow, a result which we cannot countenance.” Essentially, statutory interpretations that render a part of a statute a nullity are to be avoided, and the Court of Appeals would avoid it in this case.

Moving on, Stich’s argument that the foreclosure was to be limited to the amount of the judgment ran opposite to the text of the statute and so that was easily overruled.

But now we come to another fly-in-the-ointment for Stich’s argument, which was that Stich owned 100% of the interest in Haunt Brothers, LLC, or, in other words, Haunt Brothers was a single-member LLC. Under Kentucky law, where the foreclosure is for 100% of an interest, the debtor ceases to be any member at all and the dissolution of the LLC is triggered.

The upshot of all this is that the Court of Appeals affirmed the foreclosure of Stich’s interest in Haunt Brothers, LLC. Presumably, the interest will not be sold at the judicial sale, that will cause Haunt Brothers to dissolve, and the purchaser at the judicial sale will take all the assets of Haunt Brothers.

ANALYSIS

The Court of Appeals got this right even though the wording of § 260 probably could be cleaned up a little, such as by providing that the foreclosure is of the charging order lien and not the interest itself.

Otherwise, this case illustrates once again that single-member LLCs are very poor devices to protect assets from the judgments of the sole member. Single-member LLCs can be cut through by creditors this way, charging order then foreclosure, or through reverse-veil piercing in most jurisdictions. They provide a speed bump to creditors to slow them down slightly, but not much more. Yet, lots of folks will tell me that they “have an LLC” and think that this is their big asset protection plan, not knowing just how poor of a device it is.

A little knowledge is a dangerous thing. Just ask Stich.

Read the full article here

Sign Up For Daily Newsletter

Be keep up! Get the latest breaking news delivered straight to your inbox.

By signing up, you agree to our Terms of Use and acknowledge the data practices in our Privacy Policy. You may unsubscribe at any time.
Share This Article
Facebook Twitter Copy Link Print
What do you think?
Love0
Sad0
Happy0
Sleepy0
Angry0
Dead0
Wink0
Previous Article Is It Wise to Convert 10% of My IRA into a Roth Each Year to Avoid Taxes and RMDs?
Next Article Graco And A.O. Smith Boast High Profitabity And Low Debt
Leave a comment

Leave a Reply Cancel reply

Your email address will not be published. Required fields are marked *

FacebookLike
TwitterFollow
PinterestPin
InstagramFollow
TiktokFollow
Google NewsFollow
Most Popular
What Is Mortgage Escrow? | Bankrate
May 14, 2025
My Husband And I Paid Our Student Debt Together: Here’s How
May 14, 2025
The cost of convenience services for busy parents ~ Credit Sesame
May 14, 2025
How Much Does Law School Cost?
May 13, 2025
Citi Flex Loan Guide | Bankrate
May 13, 2025
5 Out-of-The-Box Google Tricks to Uncover Legit Promo Codes Faster Than Honey
May 13, 2025

You Might Also Like

Retirement

5 Strategies to Convert Retirement Assets Into Income

9 Min Read
Retirement

How to Withdraw From Your 401(k) After Age 60

10 Min Read
Retirement

When Can You Retire If You Were Born in 1959?

8 Min Read
Taxes

Refundable Tax Credit: Explanation, Eligibility, Benefits

7 Min Read

Always Stay Up to Date

Subscribe to our newsletter to get our newest articles instantly!

Next Gen Econ

Next Gen Econ is your one-stop website for the latest finance news, updates and tips, follow us for more daily updates.

Latest News

  • Small Business
  • Debt
  • Investments
  • Personal Finance

Resouce

  • Privacy Policy
  • Terms of use
  • Newsletter
  • Contact

Daily Newsletter

Subscribe to our newsletter to get our newest articles instantly!
Get Daily Updates
Welcome Back!

Sign in to your account

Lost your password?