This appeal arises from the foreclosure of property on which Premier holds a mortgage
Century Group argues that Premier should be required to pursue a foreclosure deficiency hearing prior to executing on the money judgment obtained below. The question this court faces is the effect on a collection action if a party attempts to execute on a promissory note following a foreclosure sale rather than pursue the deficiency amount in a deficiency judgment hearing.
It is axiomatic that a party can only recover once on the same debt. See Flagship Bank v. Bryan,
Although a party may pursue both a foreclosure action and an execution on note, Mellor v. Goldberg,
Discovery prior to a determination of a deficiency would be a potentially irrelevant and costly exercise. Once a deficiency amount has been determined, Premier may proceed with its discovery and apply any monies obtained during execution to the deficiency between the foreclosure sale amount and the judgment.
Reversed in part; affirmed in part.
Notes
. The amount bid at a mortgage foreclosure sale does not conclusively establish market value of property for purposes of a deficiency decree. Fulton v. R.K. Cooper Const. Co.,
