Wife in the Wife-Husband Owned Defunct Corporation Not Secondarily Liable Under the PACA
Bear Mountain Orchards, Inc. v. Mich-Kim, Inc., 09-2041, involved plaintiffs’ suit against an officer of a now defunct wholesale produce dealer, claiming that the officer is individually liable to them under the Perishable Agricultural Commodities Act (PACA) for money owed by the corporation. In affirming the district court’s holding that the individual was not secondarily liable, regardless of her title, to trust creditors, the court held that the officer is not individually liable for breaching the corporation’s fiduciary duties to the PACA trust because she did not have the actual ability to control its trust assets.
Related Link:
- Read the Third Circuit’s Full Decision in Bear Mountain Orchards, Inc. v. Mich-Kim, Inc., 09-2041
You Don’t Have To Solve This on Your Own – Get a Lawyer’s Help
Civil Rights
Block on Trump’s Asylum Ban Upheld by Supreme Court
Criminal
Judges Can Release Secret Grand Jury Records
Politicians Can’t Block Voters on Facebook, Court Rules