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Gold Sun Shipping Limited v. Ionian Transport

Appellate Division of the Supreme Court of New York, Second Department
Dec 15, 1997
245 A.D.2d 420 (N.Y. App. Div. 1997)

Summary

affirming dismissal of fraud claim as time barred where "the cause of action alleging fraud was merely incidental to the conversion cause of action, and the only purpose it serves in the complaint is to avoid the Statute of Limitations."

Summary of this case from MIDWEST MEMORIAL GROUP, LLC v. IFS

Opinion

December 15, 1997

Appeal from the Supreme Court, Westchester County (Scarpino, J.).


Ordered that the order is modified, on the law, by deleting the provision thereof which granted that branch of the defendants' motion which was for summary judgment dismissing the plaintiffs' cause of action to recover damages for breach of implied contract, and substituting therefor a provision denying that branch of the motion; as so modified, the order is affirmed, without costs or disbursements.

The complaint alleges that in April 1989 the defendants wrongfully collected and retained certain insurance proceeds which belong to the plaintiffs. The complaint purports to state causes of action to recover damages for fraud, breach of implied contract, and breach of fiduciary duty. The Supreme Court granted the defendants' motion for summary judgment dismissing the complaint holding that the action, in reality, sounded in conversion and therefore was barred by the three-year Statute of Limitations applicable to conversion actions ( see, CPLR 214).

The facts set forth in the complaint clearly allege a cause of action to recover damages for conversion ( see, Meese v. Miller, 79 A.D.2d 237). Therefore, the three-year Statute of Limitations for conversion is applicable. Since the cause of action alleging fraud was merely incidental to the conversion cause of action, and the only purpose it serves in the complaint is to avoid the Statute of Limitations ( see, Brick v. Cohn-Hall-Marx Co., 276 N.Y. 259; Garber v. Ravitch, 186 A.D.2d 361; Powers Mercantile Corp. v. Feinberg, 109 A.D.2d 117), the cause of action alleging fraud was properly dismissed.

The cause of action alleging breach of fiduciary duty and the demand for the imposition of a constructive trust were also properly dismissed based on the three-year Statute of Limitations applicable to conversion, because the legal remedy for conversion would have afforded the plaintiffs full and complete relief ( see, Keys v. Leopold, 241 N.Y. 189, 192; Schreibman v. Chase Manhattan Bank, 15 A.D.2d 769).

However, the court should not have dismissed the plaintiffs' cause of action to recover damages for breach of an implied contract, which is subject to a six-year Statute of Limitations ( see, Board of Educ. v. Jones, 205 A.D.2d 486; see also, Matter of First Natl. City Bank v. City of N.Y. Fin. Admin., 36 N.Y.2d 87). Where, as here, a complaint alleges facts which support causes of action alleging conversion and breach of an implied contract, the plaintiff may waive the conversion cause of action and proceed on a breach of an implied contract theory to which a six-year Statute of Limitations period is applicable ( see, Baratta v. Kozlowski, 94 A.D.2d 454, 464; Schreibman v. Chase Manhattan Bank, supra, at 770).

Bracken, J. P., O'Brien, Thompson and Altman, JJ., concur.


Summaries of

Gold Sun Shipping Limited v. Ionian Transport

Appellate Division of the Supreme Court of New York, Second Department
Dec 15, 1997
245 A.D.2d 420 (N.Y. App. Div. 1997)

affirming dismissal of fraud claim as time barred where "the cause of action alleging fraud was merely incidental to the conversion cause of action, and the only purpose it serves in the complaint is to avoid the Statute of Limitations."

Summary of this case from MIDWEST MEMORIAL GROUP, LLC v. IFS

In Gold Sun Shipping, the court dismissed several claims (including breach of fiduciary duty) as untimely, applying "the three-year Statute of Limitations applicable to conversion, because the legal remedy for conversion would have afforded the plaintiffs full and complete relief." Id.

Summary of this case from Haraden Motorcar Corp. v. Bonarrigo

dismissing constructive trust because full legal relief was available

Summary of this case from Lasala v. Needham Company, Inc.

noting three-year statute of limitations for conversion claim

Summary of this case from Herrington v. Verrilli
Case details for

Gold Sun Shipping Limited v. Ionian Transport

Case Details

Full title:GOLD SUN SHIPPING LIMITED et al., Appellants, v. IONIAN TRANSPORT INC. et…

Court:Appellate Division of the Supreme Court of New York, Second Department

Date published: Dec 15, 1997

Citations

245 A.D.2d 420 (N.Y. App. Div. 1997)
666 N.Y.S.2d 677

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