Cambridge Street Realty, LLC v. Stewart

by
In this summary process eviction action the Supreme Judicial Court vacated the judgment of the Housing Court allowing an execution to issue on Landlord’s representation that Tenant had violated a nonfinancial condition of the appeals bond, holding that the Housing Court judge’s order of execution of judgment for failure to comply with a nonfinancial condition of the bond was improper.Landlord served Tenant with a notice of termination of tenancy before bringing a summary process eviction action against her. Following a trial, Landlord received a judgment of execution, and the Housing Court judge allowed the execution to issue. The Supreme Judicial Court reversed, holding (1) a legally effective notice to quit is a condition precedent to a summary process action and part of the landlord’s prime facie case but is not jurisdictional; (2) the notice to quit in this case was not defective; (3) the Housing Court judge abused his discretion when, without providing advance notice that he would conduct trial on the same day as a scheduled hearing on Tenant’s motion to vacate a default judgment, he denied a volunteer attorney’s request for a continuance provided by Housing Court Standing Order 1-01; and (4) the judge lacked statutory authority to impose a nonfinancial condition on the appeals bond. View "Cambridge Street Realty, LLC v. Stewart" on Justia Law