In this Note, Taylor K. Wimberly examines the Louisiana Supreme Court’s decision in Radcliffe 10, L.L.C. v. Burger, 2016-0768, p. 11 (La. 01/25/17); 219 So. 3d 296, 303, holding that the failure by a debtor and his spouse to file a joint petition to terminate a matrimonial agreement pursuant to Louisiana Civil Code 2329 made the agreement relatively null, and the creditor could not recover in an action to revoke a judgment that was based on a relative nullity, rather than an absolute nullity, because the rule was not intended to protect him.

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