Kistela v. Ahlers
Opinion of the Court
Ordered that the order is reversed insofar as appealed from, on the law, with costs, that branch of the motion which was for summary judgment dismissing the complaint is denied, and the complaint is reinstated.
The parties entered into a contract for the sale of a parcel of vacant real property which was made contingent upon the plaintiff purchaser obtaining a building permit. The contract provided, inter alia, that if the plaintiff did not secure the permit and close title to the premises within 10 months of the agreement, the contract would terminate and the defendant sellers would return the plaintiffs down payment. Although no building permit was obtained and the closing did not occur within the contractual time period, the defendants did not send any communication to the plaintiff regarding termination of the agreement, nor did they return the down payment. Moreover, several months after the closing date set forth in the contract, the defendants met with the plaintiff and executed new applications for an area variance and a building permit for the property on his behalf. The plaintiff subsequently waived the building permit contingency and set a new date for the closing, but the defendants refused to attend and took the position that the contract terminated by reason of the plaintiffs failure to close within the original 10-month period. The plaintiff commenced this action, inter alia, for specific performance, and the defendants, after returning the down payment, moved, among other things, for summary judgment dismissing the complaint. The Supreme Court granted that branch of the motion which was for summary judgment dismissing the complaint. We reverse.
In response to the defendants’ prima facie showing of entitlement to summary judgment, the plaintiff raised a triable issue of fact as to whether the defendants waived the contract date for satisfaction of the building permit contingency and for the closing and instead elected to continue to perform under the contract. Indeed, the plaintiff established that the defendants waived a prior contract deadline for the filing of the building permit application, retained the down payment for a substantial period beyond the contract closing date, and met with him and executed new applications for municipal approvals with regard
Case-law data current through December 31, 2025. Source: CourtListener bulk data.