The State Court of Fayette County granted the motion for summary judgment filed by Hamza Rachaman in his suit against Tyrone Byrd for breach of a promissory note. The trial court based its summary judgment ruling, in part, on admissions Byrd made when he failed to serve timely responses to Rachaman’s requests for admission pursuant to OCGA § 9-11-36. Byrd appeals, contending that the trial court erred in denying
Judgment affirmed.
Notes
After a matter has been deemed admitted by operation of law, the trial court may, in its discretion, permit a party to withdraw an admission if two conditions are satisfied. The first is that the trial court determines that “the presentation of the merits will be subserved by the withdrawal,” which requires a showing by the movant “that the admitted requests either could have been refuted on tried of the issues by admissible evidence having a modicum of credibility or that the admitted requests were incredible on their face; and that the denials being tendered to the court with the motion to withdraw had not been offered solely for purposes of delay.” (Citations and punctuation omitted.)
Fox Run Properties v. Murray,
Byrd also contends on appeal that the trial court erred in granting Rachaman’s motion for summary judgment on Byrd’s counterclaim for breach of an agreement to sell real estate. The record does not show that Rachaman moved for summary judgment on Byrd’s counterclaim, nor did the trial court’s order purport to reach Byrd’s counterclaim. Accordingly, this argument is premature and presents nothing for our review.
