Meridian Investments, Inc. v. Federal Home Loan Mortgage

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The court affirmed the dismissal of Meridian's breach of contract suit against defendants, holding that the claim was time-barred under Virginia's five-year statute of limitations for contract actions because the parties acknowledged that more than five years passed between when the alleged injury accrued and Meridian's complaint. The court concluded that it may reach defendants' affirmative defense in reviewing the district court's dismissal of the action, because all facts necessary to decide whether defendants' defense applies appeared on the face of the complaint. The court rejected Meridian's claim that the six-year statute of limitations for contract suits brought against the United States should apply in this case, determining that defendants were private corporations, not government instrumentalities. In the alternative, the claim would still fail because the document at issue, a memorandum of understanding (MOU), was generally an unenforceable agreement to agree under Virginia law. Although some of the MOU's provisions may have been binding on the parties, Meridian has not demonstrated that defendants breached any of them. View "Meridian Investments, Inc. v. Federal Home Loan Mortgage" on Justia Law