OPINION
This is an appeal from a decision of the United States Claims Court,
Background
The facts are not in dispute. Dependable Insurance Company, Inc. (Dependable) has acted for several years as both payment and performance bond surety for Hermes Paint Contractors, Inc. (Hermes). Due to multiple defaults by Hermes, Dependable has been called upon to fulfill many of Hermes’ obligations to the government. To date, Dependable claims it has been required to spend approximately $632,000 fulfilling its bond obligations, and has received contract balances of approximately $464,000. Dependable has thus been left with a deficit of approximately $168,000.
One of the projects bonded by Dependable was a contract between Hermes and the Navy to repair the Navy Museum at the Washington Navy Yard. Although Hermes completed performance under the Navy contract, it defaulted on payment obligations. Accordingly, Dependable paid the $41,613.13 that Hermes owed various subcontractors and suppliers, and in the process, incurred expenses of $43,413.38.
The Navy currently holds a retainage of $41,022 on the Navy contract. The Internal Revenue Service (IRS) claims those funds because of the failure of Hermes to pay substantial amounts of withholding, social security and unemployment taxes. Dependable, however, filed this suit asserting that it, rather than the IRS, had the right to the retained contract proceeds. In support of its claim, it argues that (1) as payment bond surety on the Navy contract it was entitled to set off the retained funds against expenses it had incurred on that contract, and (2) as a performance bond surety on other federal contracts, it was entitled to set off the retainage held by the government under the Navy contract.
The Claims Court rejected Dependable’s claim to the retainage, observing that a payment bond surety generally cannot defeat the government’s right of setoff.
“A
surety’s remedies are limited to recovery from funds held by the government pursuant to the underlying construction contract.”
Discussion
The Miller Act requires prime contractors on major federal construction projects to post both payment and performance bonds.
See
40 U.S.C. § 270a et seq. Under a performance bond, a surety guarantees that the project will be completed if a contractor defaults.
See Aetna Casualty & Sur. Co. v. United States,
Under a payment bond, in contrast, a surety is required to pay subcontractors, materialmen, and laborers if the prime contractor fails to do so.
See Aetna Casualty & Sur. Co.,
Here, Dependable was a payment bond surety on the Navy contract. It acknowledges that the government’s right to retained contract proceeds are generally superior to those of a payment bond surety.
See, e.g., United States v. Munsey Trust Co.,
As Dependable correctly points out, performance bond sureties, unlike payment bond sureties, can defeat claims of the IRS to retained contract proceeds.
See Security Ins. Co. v. United States,
Contrary to Dependable’s assertions, however, it cannot use its status as a performance bond surety on unrelated federal contracts to expand its right to retained contract proceeds under this Navy contract. A surety’s rights and remedies are limited to recovery of retained funds from the contract generating the claim.
Id.
at 844 (“plaintiff is ... not entitled to recover any amounts it may have expended pursuant to the payment or performance bonds on [a different project]”);
Balboa Ins. Co. v. United States,
The mere fact that a surety enters into a number of construction bonds with the same contractor does not change that result.
Western Casualty,
Dependable’s entire argument is premised on the idea that by fulfilling its performance bond obligations it became subro-gated to “all of the government’s rights.” But a completing surety does not become subrogated to “all of the government’s rights,” only the rights of the government
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on the contract of which it completes performance.
See, e.g., Western Casualty,
Conclusion
Accordingly the Claims Court’s judgment is
AFFIRMED.
