United States ex rel. Schneider v. JPMorgan Chase Bank, N.A.
Relator filed a quit tam action under the False Claims Act against Chase, alleging that Chase falsely claimed compliance with a Settlement. Relator also alleged that Chase falsely claimed compliance with the Home Affordable Modification Program (HAMP). The DC Circuit disagreed with the district court's conclusion that plaintiff was required to exhaust his contentions pursuant to the procedures of the Settlement. However, the court affirmed the dismissal of the claims regarding the Settlement on a related basis. In this case, the Monitor was aware of the practices and concluded that Chase was in compliance. To the extent that relator vaguely alleged that Chase sought credit for loans that otherwise did not qualify for relief under the Settlement, the complaint nowhere identified any ineligible loan Chase submitted for credit, alleged that the Monitor was unaware of any such loan's disqualifying characteristics, or claimed that the cumulative value of any such loans exceeded the $250 million buffer. Finally, the court agreed with the district court that relator failed to state a claim that Chase falsely certified HAMP compliance because he did not allege, with factual allegations in support, that the certifications were materially false. View "United States ex rel. Schneider v. JPMorgan Chase Bank, N.A." on Justia Law