In Re William Wallace, Debtor. Mark Klemens v. William WallaceIn Re William Wallace, Debtor. Mark Klemens v. William Wallace
Aftеr examining the briefs and appellate record, this panel has determined unanimously that oral argument would not materially assist the determination of this appeal.
See
I.
On June 19, 1984, Mark Klemens filed a complaint in a New Mexico state court against William Wallace for fraud and conversion. In the complaint, Klemens alleged that Wallace fraudulently obtained monies from Klemens аnd that Wallace intentionally, willfully, and maliciously converted monies that Klemens gave to Wallace to purchase stereo equipment. Klemens sought judgment for $7,106.68 and for punitive damages. Record, vol. 2, at 9-12.
On November 9, 1984, aftеr a nonjury trial on the merits, the state court entered its judgment against Wallace. The judgment stated in part: “That the defendant [Wallace] embezzled funds lawfully entrusted to him in the amount of $7,106.68. The action on part of the Defendant was intentional.” The state court awarded Kle-mens both compensatory and punitive damages. Record, vol. 2, at 2-3.
Wallace subsequently filed bankruptcy in the United States Bankruptcy Court for the District of New Mexico. Klemens then instituted аn adversary proceeding in the bankruptcy court, seeking a judicial determination that Wallace’s debt to Klemens under the state-court judgment was nondis-chargeable under
Klemens filed a motion for summary judgment claiming that the state court’s determination that Wallace embezzled funds from Klemens precludеd relitigation on the issue of whether the debt owing to Klemens was a debt for embezzlement, rendering the debt nondischargeable under
[the state court] clearly addressed the issue of embezzlement. Embezzlement would entail the same findings of fact to arrive at the legal conclusion in both State Court proceeding as in the Bankruptcy Court. This Court does not feel that it should look behind the State Court judgment entered against the defendant since that case was a final decision on the merits, with the same cause of action, with identical parties.
Record, vol. 2, at 18.
Wallace аppealed the bankruptcy court’s summary judgment to the United States District Court for the District of New Mexico,
Wallace now appeals from the district court’s affirmance of the bankruptcy
II.
In
Brown v. Felsen,
This case concerns res judicata only, and not the narrower principle of collateral estoppel. Whereas res judicata forecloses all that which might have been litigated previously, collateral estoppel treats as final only those questions actually and necessarily decided in a prior suit. [Citations omitted.] If, in the course of adjudicating a state-law question, a state court should determine factual issues using standards identical to those of § 17 [of the former Bankruptcy Act; similar tosection 523 of the present Bankruptcy Code], then collateral estop-pel, in the absence of countervailing statutory policy, wоuld bar relitigation of those issues in the bankruptcy court.
Id.
at 139 n. 10,
Although the bankruptcy court in a dischargeability action under
In this case, the issues sought to be рrecluded from relitigation in the bankruptcy court were the issues establishing whether or not Wallace’s debt to Klemens was a debt for embezzlement. As noted above, a debt for embezzlement is nondischargeable under
We believe that the bankruptcy court was correct in discerning from the state-court judgment that the state court, in finding that Wallace intentionally “embezzled funds lawfully entrusted to him,” necessarily addressed issues and made factual adjudications which establish that Wallace’s debt fell within the purview of a “debt for embezzlement” under
The state-court judgment, which recites that the parties were givеn a full trial on the merits, reflects that the issues necessarily addressed to establish that Wallace embezzled funds entrusted to him were actually litigated by the parties. Wallace cannot complain that he was denied a full аnd fair opportunity to present his case or litigate the relevant issues.
The state-court judgment also reflects that the court’s determination of the issues necessary to establish embezzlement was essential to and, in fact, resulted in the final judgment of the case. Specifically, the judgment makes it clear that the court found the pertinent issues in favor of Kle-mens and awarded Klemens all compensatory damages prayed for in the comрlaint and punitive damages as a result of the court’s finding that Wallace intentionally embezzled Klemens’ monies. Wallace cannot now contest the finality of the judgment or attempt in this court to collaterally attack the findings made by the state court after a trial on the merits.
See United States Life Title Insurance Co. v. Dohm (In re Dohm),
We conclude, therefore, that the requirements of collateral estoppel have been met.
Accordingly, the district court’s affirmance of the bankruptcy court’s summary judgment is AFFIRMED.
Notes
The issue of whether collateral estоppel may be invoked in a dischargeability action under