The court ruled that the non-debtor spouse could liquidate jointly held shares of stock and take control of her one-half interest in the proceeds, with the debtor's share remaining in an account pending the outcome of the trustee's avoidance action.
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The court denied the debtor's motion to dismiss and ruled that an avoidance action filed by the Chapter 7 trustee on the second anniversary of the petition date was timely filed pursuant to § 546(a)(1)(A).
The third lien on debtor's residence was devoid of equity and wholly unsecured under 11 U.S.C. § 506(a) and could be stripped off in her Chapter 13 case. The lender did not demonstrate the existence of any factual issue, as it did not respond to the motion.
The debtor's Chapter 13 attorney was awarded supplemental fees, over and above the "no look" amount approved by the court, as compensation for his post-confirmation efforts to obtain plan payment suspensions to keep the case from being dismissed.
The court denied the debtor's motion to avoid a judgment lien that he alleged impaired his homestead exemption because the debtor did not provide any evidence to the court that he was entitled to claim a homestead exemption.
The means test calculation showed a significant amount of disposable income as a result of the debtor's wife's contributions toward household expenses, so a presumption of abuse arose under § 707(b)(2) and the case should be converted or dismissed.
Debtors cannot use the plan modification process to alter the terms of a stipulation they entered into as a result of their prior mortgage default during the course of their bankruptcy proceeding. Such stipulations should be strictly enforced.
Summary judgment was denied on the non-dischargeability of a debt under § 523(a)(2)(A) because there was a factual dispute as to whether the debtor led a materials supplier to believe he had secured bank financing with which to pay off his open account.
Summary judgment was denied on a § 523(a)(2)(A) claim based on a state court default judgment because a factual issue existed as to the debtor's intent to deceive. The plaintiff also needed to pierce the corporate veil to reach the individual debtor.
On reconsideration, summary judgment was granted in the defendant's favor, holding that pre- and post-petition house payments were not avoidable transfers. The only issue for trial was the debtor's transfer of interests in marketable securities.