The parties also generated a ledger documenting payments purportedly made from Decedent to Brooks. The ledger begins at $60,000 and the last entry shows $27,400 remaining to be paid. Brooks’ initials appear next to many of the entries.
Before Decedent’s death, his attorney sent a letter to Brooks citing the above agreement, and requesting her to tender the deed in exchange for $2,893.87. Brooks refused. After Decedent’s death, Walker offered to pay Brooks $27,400 in exchange for her returning title to the farm. After Brooks denied his offer, this lawsuit arose.
At trial Walker argued that an equitable mortgage existed and further sought specific performance on the agreement referenced in the handwritten note and ledger. The special referee found an equitable mortgage existed and did not address Walker’s specific performance claim. Brooks appealed to the Court of Appeals and Walker hired me to defend the appeal. At the Court of Appeals level Walker argued the specific performance claim as an additional sustaining ground. The Court of Appeals reversed the special referee on the equitable mortgage issue but refused to address the specific performance issue. We sought, and the Supreme Court granted, certiorari.
The Supreme Court, in a 4-1 decision, found that Walker had failed meet his clear and convincing burden of proof to demonstrate an equitable mortgage because there was insufficient evidence of decedent’s intent at the time of the transfers. There was no dispute that the ledger and handwritten note were created after the transfers and the majority held they did not demonstrate intent at the time of the transfers: