A quarterly summary and brief analysis of significant decisions issued by the Massachusetts Superior Court Business Litigation Session. A service of O’Connor, Carnathan and Mack LLC.
 

May 2007

Volume 3
Number 4
Page 1

 

Summarizing opinions from October 1, 2006 through
December 31, 2006


Trustee liable for failure to obtain updated stock appraisal
 


 
 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 


 

     

F  E  A  T  U  R  E  D     D  E  C  I  S  I  O  N  :

Murphy v. Murphy, 21 Mass. L. Rep. 572, 2006 Mass. Super. LEXIS 530
(Oct. 3, 2006) (Gants, J.)

     

This is a very lengthy decision issued by Judge Gants after a six day bench trial on Plaintiffs’ claims for breach of fiduciary in connection with the redemption of shares in the parties’ family businesses. Plaintiff, in his capacity as trustee of two trusts which owned shares of the family businesses, alleged that his sister Sarah breached her fiduciary duty as co-trustee by redeeming the Trusts’ shares at prices that were too low. The crux of Plaintiff’s claim was that Sarah had a conflict of interest: as a director and officer of the companies, she had an interest in the companies paying as little as possible for the Trusts’ shares, while as a co-trustee of the Trust (and a beneficiary) she had an interest in obtaining the highest price possible. Sarah argued that the Plaintiff and the other beneficiaries consented to the redemptions. The Court rejected this argument, finding that there was only a general agreement that the Trusts’ holdings (which at the time consisted almost entirely of shares of the companies) should be diversified, but that no specific agreement had been reached as to the number of shares to be redeemed or the timing or price of the redemption.

Although the Court found that the beneficiaries did not consent to the redemptions, the Court held, as to certain redemptions, that Sarah had not breached her fiduciary duties because the price was fair to the beneficiaries. Plaintiff argued that Sarah improperly used an appraisal from the prior year in determining the share redemption price. The Court held that it was reasonable for Sarah to use the

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 


 

in a significant delay. Delay would have exposed Sarah to claims for breach of fiduciary duty for failure to diversify. In addition, the Trust needed the money to pay substantial legal bills.

The Court held that Sarah did breach her fiduciary duty by using the same appraisal (from 1998) to determine the price of the final redemption, which took place about two years later. The Court held that the landscape had changed significantly such that a delay associated with conducting a new appraisal would not have harmed the Trust’s beneficiaries.

As to the measure of damages, the Court held that the proper measure was the difference between the price established by the 1998 appraisal and the higher price that would be have been established had an appraisal been conducted in 2000. The Court rejected Plaintiff’s claim that the appropriate price was the price paid for the company’s shares in 2004, finding that the beneficiaries would have approved redemption at a 2000 appraisal price had they been presented with that option.

Finally, the Court found that Sarah’s sister, although not a trustee of the trust, was liable for aiding and abetting Sarah’s breach. The Court applied the well established principle that one who knows of a breach of fiduciary duty and actively participates in the breach can be liable to the same extent as the fiduciary.

This an important read for BLS practitioners, as Judge Gants methodically analyzes the duties and conduct of fiduciaries who wear multiple hats.


 
 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 


 

 
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