Prinsburg v. Abundo

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Alpine Vision entered into loan agreements with Prinsburg State Bank's predecessor in interest. Several individuals (Guarantors) executed personal guarantees for the loans. Knighton Optical subsequently purchased Alpine Vision and defaulted on the loans. Prinsburg sued the Guarantors to recover the balance. Prinsburg then sold the collateral but did not apply the sale's proceeds to the outstanding balance of the loans. The Guarantors objected to the sale. After the district court denied all but one of Prinsburg's claims on summary judgment, the parties stipulated to a list of statements consistent with the district court's findings and conclusions, and additionally to a statement that resolved the remaining claim in favor of the Guarantors. The district court accepted the parties' stipulations and summarily denied all of Prinsburg's claims. The court of appeals declined to consider Prinsburg's arguments on appeal, concluding that the parties' stipulations unambiguously resolved the case and precluded appellate review. The Supreme Court affirmed but on different grounds, holding that, because Prinsburg stipulated to the district court's resolution of this case, it was estopped from challenging that resolution on appeal. View "Prinsburg v. Abundo" on Justia Law