Bankruptcy – Police power exception – Automatic stay

Where (1) an agency that regulates milk production and distribution revoked a debtor’s dairy license and ordered him to sell his milk production quota rights and (2) when the debtor failed to do so, the agency planned to auction those rights, the agency’s plan to auction the debtor’s milk quota falls squarely within the police power exception to the Bankruptcy Code’s automatic stay provision, 11 U.S.C. §362.

Reversed.

“In this appeal, we consider the ‘police power’ exception to the Bankruptcy Code’s automatic stay provision, 11 U.S.C. §362. The police power exception in §362(b)(4) provides that the automatic stay does not apply to ‘the commencement or continuation of an action or proceeding by a governmental unit … to enforce such governmental unit’s or organization’s police and regulatory power, including the enforcement of a judgment other than a money judgment, obtained in an action or proceeding by the governmental unit to enforce such governmental unit’s or organization’s police or regulatory power.’

“In this case, the Puerto Rico agency that regulates milk production and distribution revoked a bankruptcy debtor’s dairy license and ordered him to sell his milk production quota rights. When the debtor failed to do so, the agency announced plans to auction those rights under the governing regulations. The bankruptcy and district courts found that planning the auction violated the bankruptcy stay under §362. We find, however, that the agency’s plan to auction the debtor’s milk quota falls squarely within the police power exception in §362(b)(4). We reverse the judgments of the bankruptcy and district courts and direct judgment in favor of the agency.”

In Re: Ruiz Ruiz, Luis Manuel (Lawyers Weekly No. 01-250-24) (29 pages) (Hamilton, J., of the Seventh Circuit, sitting by designation) Appealed from the U.S. District Court for the District of Puerto Rico (Docket No. No. 22-1761) (Nov. 21, 2024).

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