A Day Late, But Not a Dollar Short

December 18, 2012

The court reversed the trial court’s judgment against Wells Fargo for wrongful foreclosure and breach of contract. When Robinson defaulted on his home equity note, Wells Fargo accelerated the note and filed an application for expedited foreclosure. The court authorized the foreclosure on a certain date, but Wells Fargo proceeded one month late. Robinson sued, contending Well Fargo was not authorized to foreclose on the property because it had not complied with the specific date in the court’s order. The trial court agreed and awarded damages for the difference between the value of the property at foreclosure and the unpaid balance of the note.

On appeal, Wells Fargo challenged the causal connection between the alleged breaches and Robinson’s damages, arguing that the later date of the sale did not cause prejudice or harm. The court agreed that Wells Fargo violated the deed of trust by conducting the foreclosure sale on a different date, but noted that the correct remedy would be to set aside the sale and resulting deed. Because the property at issue was not sold for an inadequate price and Robinson was not otherwise harmed by the delay in the foreclosure sale, there was no injury.

Wells Fargo Bank, N.A. as Trustee v. Robinson, No. 05-11-00700-CV