Canty v. Otto

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Defendant was the wife of Kenneth Otto, who was convicted of the murder of Shamaia Smith. Before his conviction, Otto transferred title to certain property to Defendant. Otto and Defendant subsequently received a judgment of dissolution, which included a division of the marital property. During a hearing in the wrongful death action filed by the estate of Smith against Otto, the trial court found that Smith's estate was a creditor of Otto and that the transfer of Otto's assets to Defendant was fraudulent. Plaintiff, administratrix of Smith's estate, filed an action against Defendant pursuant to the Uniform Fraudulent Transfer Act, along with an application for a prejudgment remedy. The trial court concluded that there was probable cause to show that the assets transferred from Otto to Defendant through the dissolution action were fraudulent transfers and awarded Plaintiff a prejudgment remedy. The Supreme Court affirmed, holding (1) Plaintiff had standing to bring a claim under the Act; (2) the trial court's determination that the dissolution action was undertaken with actual intent to hinder, delay or defraud Smith's estate was proper; and (3) the trial court had jurisdiction over Plaintiff's claim because it could grant practical relief under the Act. View "Canty v. Otto" on Justia Law