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CHAPTER 13 HEARINGS June 20, 2018 The following is a list of the cases which are on the docket for the date noted above, together with the status of each case. This data is provided by the Chapter 13 Trustee as a courtesy only. The official docket is available on the Court's website at http://www.ksb.uscourts.gov. This list is provided via e-mail only to the bk-kansas list server subscriber. Docket # Case # Last Name Attorney 001 17-41025 Berens GARRETT LAW LLC 10/5/17 T'EE OBJ TO CONF: Lack of feasibility. Debtors 22C indicates there is no pool, however, the Trustee's 22C calculations indicates there should be a pool in the amount of $15,466.80. Further, debtors' income is likely to increase in the near future per communication from counsel, so confirmation should be delayed until their disposable income can be determined. (PER TLA) (PL 19) Trustee and Debtor do not agree on 22c, but Debtor is in process of income change due to VA disability payments. Debtors are still both employed. This may become a 100% plan. Bar date is 1/3/18. Income is currently fluctuating but will even out over next few months and DA will file amended I/J. Parties would like to defer determination of disposable income and plan payment amount issues until January docket, at which time claims bar dates will have passed as well. Pass from month to month to make sure payments are being made in the interim. Trustee will recommend for no-call list if payments are being received. TLA PER HRG 10/25, NO CALL -- CON'T TO NOV. JR 11/15/17 STILL NEED BANK STATEMENTS. 22C ISSUES ARE NOT RESOLVED. ML 11/21 HRG CONT 1/24/18 -- 21 DAY DEADLINE FOR BANK STATEMENTS. NO CALL. TW 1/17/18 T'ee OTC is not resolved. Debtors 22C indicates no pool, T'ee calculation indicates a pool of $15,466.80. Need amended I & J to show debtors current income. If debtor's income has changes is an amended 22C / deviation needed? The claims bar date has passed & unsec'd claims = $75,974.69. ML 1/24/18 Cont 2/21 -- 21 day deadline for amended means test, Schedule I/J and motion to deviate. TW 2/14/18: Motion to extend deadline to 3/7/18 for amended means test, Schedules I/J and motion to deviate - due to debtor's work injury. Plan payments are current. Continue to 3/21. TLA Per Hrg 2/21, No Call -- Con't to March. JR 3/7/18 Debtor filed another mtn to extend time to 3/7/18 to file amended I & J. Per the motion, " proceed - the proceeds are exempt from an asset standpoint, but must be accounted for from an income standpoint. Debtor wishes to con't to work full time despite his significant physical & mental disabilities, but this increases his Plan payment to an excessive level - his wage would virtually dollar for dollar, go to general unsec'd creditors. Debtors are working with the T'ee on a plan of action". (PL 34) 3/14/18 The order on the mtn to extend time has not been filed. Still no amended I & J and the 22C issues are not resolved. ML 3-15-18 Trustee's position is that exempt income is not excluded from disposable income calcs of 101 (10 A) and may therefore be taken into account for purposes of 22C means test. 4/25/18 Per hrg - con't 5/23. 21 DDL for amended I & J. ML 3/16/18 P/E from DA, Debtors are electing to stay in the 13. Requests a continuance so they can get a proposal put together. ML
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CHAPTER 13 HEARINGS April 25, 2018 The following is …continued_confirmation_docket.pdfCont 2/21 if case not dismissed. TW Per Hrg 2/21, con't to March for DA to get in contact w

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Page 1: CHAPTER 13 HEARINGS April 25, 2018 The following is …continued_confirmation_docket.pdfCont 2/21 if case not dismissed. TW Per Hrg 2/21, con't to March for DA to get in contact w/

CHAPTER 13 HEARINGSJune 20, 2018

The following is a list of the cases which are on the docket for the date noted above, together with the status of each case. This data is provided by the Chapter 13 Trustee as a courtesy only. The official docket is available on the Court's website at http://www.ksb.uscourts.gov. This list is provided via e-mail only to the bk-kansas list server subscriber.

Docket # Case # Last Name Attorney001 17-41025 Berens GARRETT LAW LLC

10/5/17 T'EE OBJ TO CONF: Lack of feasibility. Debtors 22C indicates there is no pool, however, the Trustee's 22C calculations indicates there should be a pool in the amount of $15,466.80. Further, debtors' income is likely to increase in the near future per communication from counsel, so confirmation should be delayed until their disposable income can be determined. (PER TLA) (PL 19)

Trustee and Debtor do not agree on 22c, but Debtor is in process of income change due to VA disability payments. Debtors are still both employed. This may become a 100% plan. Bar date is 1/3/18. Income is currently fluctuating but will even out over next few months and DA will file amended I /J. Parties would like to defer determination of disposable income and plan payment amount issues until January docket, at which time claims bar dates will have passed as well. Pass from month to month to make sure payments are being made in the interim. Trustee will recommend for no-call list if payments are being received. TLA

PER HRG 10/25, NO CALL -- CON'T TO NOV. JR

11/15/17 STILL NEED BANK STATEMENTS. 22C ISSUES ARE NOT RESOLVED. ML

11/21 HRG CONT 1/24/18 -- 21 DAY DEADLINE FOR BANK STATEMENTS. NO CALL. TW

1/17/18 T'ee OTC is not resolved. Debtors 22C indicates no pool, T'ee calculation indicates a pool of $15,466.80. Need amended I & J to show debtors current income. If debtor's income has changes is an amended 22C / deviation needed? The claims bar date has passed & unsec'd claims = $75,974.69. ML

1/24/18 Cont 2/21 -- 21 day deadline for amended means test, Schedule I/J and motion to deviate. TW

2/14/18: Motion to extend deadline to 3/7/18 for amended means test, Schedules I/J and motion to deviate - due to debtor's work injury. Plan payments are current. Continue to 3/21. TLA

Per Hrg 2/21, No Call -- Con't to March. JR

3/7/18 Debtor filed another mtn to extend time to 3/7/18 to file amended I & J. Per the motion, " proceed - the proceeds are exempt from an asset standpoint, but must be accounted for from an income standpoint . Debtor wishes to con't to work full time despite his significant physical & mental disabilities, but this increases his Plan payment to an excessive level - his wage would virtually dollar for dollar, go to general unsec'd creditors . Debtors are working with the T'ee on a plan of action". (PL 34)

3/14/18 The order on the mtn to extend time has not been filed. Still no amended I & J and the 22C issues are not resolved. ML3-15-18 Trustee's position is that exempt income is not excluded from disposable income calcs of 101 (10 A) and may therefore be taken into account for purposes of 22C means test.

4/25/18 Per hrg - con't 5/23. 21 DDL for amended I & J. ML

3/16/18 P/E from DA, Debtors are electing to stay in the 13. Requests a continuance so they can get a proposal put together. ML

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Docket # Case # Last Name AttorneyPer hrg 3-21-18, cont to 4-25. 21 ddl for amended plan and if necessary amended 22C and amended schedule I & J. AB

4/3/18: Debtors have had post petition increase in income. Under Trustee's version of a mock 22C, pool would be $142,635 (if reduced by 8 months of MDI to take effect May 2018, pool would be $123,604 -- which would make the case a 100% (unsecured claims are less than pool) with pymts at $2638/mo.

T/ee also has also received a check for $1055.86 from Synchrony Bank indicating the debt has been Paid In Full. The Trustee has not made a disbursement to Synchrony Bank; thus, funds have been posted as a special payment. Trustee needs direction as to treatment of these funds. T/ee recommends disbursement to admin, priority, then GU, in that order. TLA

4/19/18 Debtors have agreed to a plan payment $2638/mo and a "pool" of $123,604.00. Need amended I & J to show this plan payment is feasible. Debtor has received a lump sum of approx $14,000.00 from back VA disability. This needs to be addressed either by motion or amended plan. Debtor has proposed a 50/50 split with the T'ee. ML

5/11: Can trustee disburse the $1055.86 rec'd from Synchrony Bank? TLA

5/16/18 Debtors have agreed to $2638/mo. An Amended I & J will be filed soon. Debtor is also filing a motin to retain some proceeds. Con't to June for amended I & J & mtn to retain. Does the T'ee want to disburse as if confirmed?? ML

5/23/18 Cont to 6/20/18. 14 day deadline to file motion to amend. No call. TW

6/11/18: Pymts are current. Amended I/J filed and shows feasibility. Motion to retain disability payments filed - $7108 to Debtors, $7107 to be paid in to the Trustee (oft 6/20). Ready to confirm with special language - "Plan payments shall be $2638.00 per month beginning in June of 2018, and the 22c pool is $123,604. All issues regarding VA disability payments are preserved pending further order Debtor's Motion (Doc. 44)." RE: the $155.86 received from Synchrony Bank (with letter indicating debt paid in full), may T/ee disburse, after retention of trustee fees, to remaining admin, priority and gu, in that order? TLA

Per hrg 6/20, confirmed w/ special language. JR

002 17-41026 Packer GARRETT LAW LLC 10/6/17 T'EE OBJ TO CONF & MTD: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until January 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation. (PL 16; 17/18) ML

PER HRG 10/25, NO CALL -- CON'T TO NOV. JR

11/21 HRG CONT 12/20 FOR PAYMENTS. NO CALL. TW

12/14/17 Plan payments are current. Is debtor employed or has she been approved for unemployment? ML

12-16-17 Not received as best I can tell. JH

12/20/17 Per hrg - Con't 1/24. Debtor has been denied unemployment. ML

1/17/18 Has Debtor become employed? She has been denied unemployment, per last docket. Plan payments are current thru Dec. ML

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Docket # Case # Last Name Attorney

1/24/18 Cont to 4/25 to check status of plan payments. Debtor is currently six months pregnant & cannot find work. TW

4/19/18 Plan payments are current thru April. Is Debtor receiving unemployment or has she become employed? ML

4/25/18 Per hrg - 21 DDL to demonstrate debtor is employed or to show how the plan will be funded or MTD granted. ML 5-17-18 Debtor is not employed but family members are providig the support so she can make the payments . Shannon is working on an affidavit. Payments are current. JH

5/23 Cont 6/20 -- 21 DDL for an affidavit or amended I/J. TW

6/5/18: Affidavit: Amanda Packer, states as follows: My current income at ths time is $184/mo recv'd from a child support order and $760/mo in food assistance; I am currently receiving public housing & have credits on my utilities & have no addt'l expenses other than my BK payment in the amount of $80/mo; I will make my monthly payments directly to the T'ee using my child support income until I am able to find employment . F.S. 6/5/18 ML (Pl 35)

6/11/18: Affidavit filed re: income and expenses. Pymts are current.

6/13/18 T'ee OTC/MTD has been withdrawn. Ready to Confirm. ML

Per 6/20 hrg, auto confirm. JR

003 17-41058 Taylor JOHN R HOOGEPlan to run 59 mos @ $200/mo (D.P.)---Current. JR

---(4/19) 341 not concluded as to Mrs. Taylor; need interrogatories for her. DA to amend plan to correct vehicle description. JR

4/25/18 Per hrg - Con't 5/23. ML

---(4/25) DA has filed the change of address (PL#48) & the Amended Attorney Compensation Disclosure (PL#47). However the amended disclosure proposes a minimum of $2,220.00 fees (including a closing fee of $300.00)---this does not match the Chp 13 Plan. Plan provides for $1,700 Attorney fees & $300 closing fee, for a total of $2,000. JR ******2nd amended compensation disclosure filed 6-19-18, PL#68********JR

---(5/21) 3rd Motion of Central Nat'l Bank to extend time to object to Chp 13 Plan: extension to and including 6/18/18. (OFT 6-11) (PL#55/56) (CA: Michael R Munson) JR

5/23 Cont 6/20 -- 21 DDL to amend plan, schedules I/J, Ch 13 22C & 2016 returns and interrogatories for Mrs. Taylor. TW

6/11/18: None of the above has been resolved. TLA

---(6/18) Rec'd Interrogatories for Mrs Taylor. JR---(6/20) Rec'd Amended Schedules I & J. Amended I shows debtor 1 as unemployed, but all of the wages listed are under debtor 1 column, and shows debtor 2 as employed, no employment information provided and no wages in debtor 2 column. SSI listed in debtor 2 column, $735/mo. Other than housing, Schedule J expenses are low. JR

>>> Need: Amended Plan, Amended 22C (Chp 13), & 2016 tax returns. JR

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Docket # Case # Last Name Attorney

Per hrg 6/20, con't to July. Trial set for Aug 15/16 on stacked docket. (21) DDL for agreed order w/ Central Nat'l Bank (agreed to $9,249.10; will fix vehicle description in the order). (21) DDL to file another amended Sch I/J to plug in outside assistance & for letter from her parents re the ongoing assistance; (21) DDL for 2016 tax returns; and (21) DDL for Chp 13 22c. JR

004 17-41152 Blackwell, Sr. GARY E HINCK PABMI

Amended Plan---Need $410/mo beg. July 2018 to complete in 60 mos (D.P.) (Plan proposes payments of $150/MO)---current @ $150/mo thru April (running a month behind). JR

12/20/17 Per hrg - Con't 1/24. 21 days for amended plan, if needed. ML

---(1/12) TRUSTEE'S OTC/MTD: Lack of feasibility due to the tax claims filed by the IRS, KDOR & the Shawnee County Treasurer. Plan payments will need to increase to approximately $660/mo in order for the plan to remain feasible. (PL#27-29) JR

1/24/18 Cont 2/21 for oft on Amended Plan. TWPer Hrg 2/21, con't to March. (21) DDL to amend tax return. JRPer hrg 3-21-18, cont to 4-25. At next docket need update on 2006- 2011 and 2013 -2014 returns. AB4/25/18 Per hrg - con't 5/23. 21 DDL to obj to any tax claims. ML

---(5/17) Feas. review w/disallowance of SN CO Treasurer claim: Plan payments still need to increase. Need $620/mo beg. in June 2018 in order for the plan to complete in 60 months. Note: this includes the amended KDOR claim as filed, which still includes estimated taxes for 2015 & 2016. JR

5/23 Cont 6/20 -- need tax claims sorted out to determine feasibility. 21 DDL to amend any returns if necessary. Harmon working on returns. TW

---(5/23) Debtor's Obj to claim #2 of IRS: Debtor has amended the tax returns for 2011, 2012, 2014, and 2015 showing a lower tax liability, and is in the process of providing them to the IRS. Debtors respectfully request the Court to enter an order disallowing the claim as filed. (OFT 6-25) (PL#46) JR

---(6/14) Feas. review per Amended IRS claim filed 6-8-18: the amended claim reduces the priority taxes to $11,034.13 for 2006-2008, 2014-2015. Plan payments still need to increase; need $410/mo beg. July 2018, in order for the plan to complete in 60 months. JR

---(6/19) Per email from DA, debtor agrees to increase to $410/mo. However, need amended I & J to support increase. Also, still need a copy of the 2017 returns. JR

>>> Trustee has not been provided the 2017 Returns. JR

Per hrg 6/20, con't to July. (14) DDL to provide 2017 returns & (14) DDL to file amended Sch I /J. DA is withdrawing obj to claim #2 of IRS. JR

005 17-41303 Batcheller KRISTINA ZHILKINA-CRUMP12/07/17 Trustee's OTC/MTD: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until March, 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current . If so, at that time, the Trustee will likely recommend confirmation. [doc #20] TW

-- Plan was dismissed on 04/19/18. TW

05/03/18 MTR and MTA. Debtor suffered a lapse in employment. Debtor is now re-employed and payments

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Docket # Case # Last Name Attorneyhave resumed into the plan by IWO. Debtor is able and willing to make payments and asks for the opportunity to complete her plan. Debtor requests any missed plan payments owed through 4/30/18 be abated. Debtor shall make up any add'l abated payments by modifying the duration or payment amount .>> The Trustee is receiving weekly payments via IWO. No objection to MTR/MTA.F.S. 05/02/18 [36/37] TW

5/31/2018 Order: E-mailed T'ees approval to Order Granting Motion to Reinstate Case and to Abate Payments. Reinstates case and abated pymts due & not yet paid thru April 30, 2018. AMOrder F.S. 06/01/18 [38] TW

6/13/18 Debtor is current. Plan is ready to confirm. TW

Per 6/20 hrg, auto confirm. JR

006 17-41334 Whitaker GARRETT LAW LLC3/15/18 T'EE OTC & MTD: The plan does not provide for either full payment of all claims or for all projected disposable income to be applied to payments under the Plan as required by 11 U.S.C. 1325(b)(1)(A) and (B).

The Trustee's calculation of 22C indicates a pool amount of $58,138.00 to be paid to general unsecured creditors while Debtor's 22C indicates a pool of $22,692.00. Trustee allowed Line 16 "Taxes" in the amount of $1934.50 per Debtor's Schedule I. Line 25 "Disability Insurance" was lowered to $17.88 per pay stubs provided by Debtor's counsel. Line 31 "Charitable Contributions" was lowered to $100 per Schedule J and the pay stubs provided. Line 35 "Projected Monthly Payment" was lowered to $505 per the Plan and Trustee used 10% as Trustee fees. Line 41 "Retirement Deductions" was lowered to $-0- as Debtor's paystubs do not show any retirement deductions. (PL 38-40) ML

3/28/18 OTC, COREFIRST: Creditor requested via letter that Debtor convert this case to a Chapter on 11/16/17, due to a substantial surplus of funds that would be available to repay unsec'd creditors under an inaccurate means test calculation. Creditor has an unsec'd claim of $7,763.11. The plan proposes to pay the T'ee $505/mo, with the sum of $378.20 DMI or $22,692 to be paid to unsec'd creditors over 60 mos. Creditor objects to confirmation as it has not bee filed in good faith under 11USC1325(a) & the plan fails to provide for all of the Debtor's projected disposable income to be received during the ACO to be distributed to unsec'd creditors under the Plan as required by 11USC1325(b)(1)(A) and (B).

In particular: Sch B reflects an estimated tax refund of $4400 for 2017. The recent means test Line 16 reflects $1912.46 of taxes. Both the original & amended means test provides in #16 that "if you expect to receive a tax refund, you must divide the expected refund by 12 & subtract that number from the total monthly amount that is withheld to pay for taxes". Hence the refund would account for an addt'l $366.66/mo in disposable income for unsec'd creditors of $4392 per year. Debtor is over withholding.

Debtor's pre-petition pay advices do not show any retirement contributions & the amount of $478.34 should be lowered to $-0-.

Health savings accounts are not exempt & the Plan fails to account for the value of her health savings account on the date of filing.

Debtor's income & expenses on both Schedule I & J & the original & amended means test have magically changed from the original file date to the date of the amendment.

The original means test Line 22 reflects $-0- for addt'l health care costs & the amended means test reflects addt'l health care costs of $336/mo, or $20,160 per year over the life of this plan. Creditor recognizes that Debtor has health care costs. Notwithstanding insurance & a health savings account, the jump in expenses from $-0- to $336/mo seems manipulated & overstated. The expenses appear excessive. The original means test Line 10 shows $-0- expense for plumbing, yet the amended means test shows $46/mo or $2760 over the life of the plan.

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Docket # Case # Last Name Attorney

The original means test Line 31 reflects $100 for charitable contributions & the amended means test reflects $200 in charitable contributions. The $100/mo increase is noteworthy & amounts to over $6000 over the life of the plan.

Considering an overstatement of withholding taxes, an overstatement of addt'l medical expenses, plumbing expenses, charitable contributions, retirement contributions & HSA funds on hand, Line 45 of the amended means test is considerably understated. This debtor should be contributing substantially more per month to unsec'd creditors. With necessity of restating the T'ee Objection to Confirmation, Creditor would adopt the same herein, in addition to the objections set forth above. (CA: Darcy Williamson) (PL 42)

4/25/18 Per hrg - con't 5/23. ML

5/23/18 Con't to June for amended 22c (21 day deadline) & resolution of objection by Corefirst. No call. TW

6/4/18: If 22c and Schedules I/J are amended consistent with the changes circulated 5/11/18, then, Trustee would show MDI $676.23 POOL $40573.80. TLA

6/5/18 Per calc of the case, the bar date has passed and the total unsec'd claims are much less than the T'ee pool, therefore, this would be a 100% plan. Plan payments would require an increase to $576/mo beginning in July 2018. ML

>>> PUT IN CONFIRMATION ORDER --- Filing Fee from Ch. 7 in amt of $335. Although fee was intended to be paid, due to error, it was not -- therefore, the $335 filing fee from the Ch. 7 should be paid first thru the plan. ML

Per hrg 6/20, agree to a 100% plan. Amended Sch I & J filed today; Darcy Williamson needs time to review. Con't to July. JR

007 17-41346 Cox ROBERT W LATTIN12/13/17 The 341 is not concluded & has been con't generally. T'ee has requested a copy of the county appraisal for the Malcolm St rental property; a copy of the corporate charter & annual reports for the last 2 years for Noah's Ark. T'ee has also requested debtor to sign off on an authorization to allow him to speak directly w/ Debtor's accountant(s). Need amended plan to pay 910 vehicle in full + contract rate. T'ee will be filing an OTC/MTD shortly. ML

12/20/17 Per hrg - Con't 1/24. ML

1-17-18 Will need to be passed to February. Have 2004 exam set up in early February.

1/24/18 Cont 2/21 for Trustee to conduct 2004 exam. No call. TW

2-15-18 Will need to continue for deposition. Had to cancel original setting because of conflict. jh

Per Hrg 2/21, No Call -- Con't to March. JR

2/14/18 MTN TO ENTER INTO TRIAL MODIFICATION, US BANK. Creditor & Debtor have conducted negotiations in an attempt to reach agreement on a modification of a loan sec'd by the real estate at 6105 Malcolm, Chanute KS. (CA: William Holmes) (PL 25)

2/15/18 T'EE OBJECTION. Per the Chapter 13 Plan, Debtor is surrendering her interest in this real property. (PL 27) ML (non-filing spouse is retaining)

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Docket # Case # Last Name Attorney

Per Hrg 4/11, Con't to 4/25 pm confirmation docket. JR

4-20-18 2004 set for Tuesday, April 23. JH

4/25/18 Per hrg - con't 5/23. ML

4/26/18 T'EE OTC & MTD. The Trustee objects to retention of the Harley. It is the Trustee's understanding that debtor have already surrendered this motorcycle to the creditor, but the Plan on file still provides for retention. The Harley is a luxury item and retention should not be permitted. See In re Knowles, 501 BR 409 (Bankr.D. Kan 2013). Per the Debtor's Schedule J, the motorcycle payment is $432.63 per month, with tags and taxes of $25.00 per month. See Petition, Doc. 1, p. 42. The Trustee objects to retention of the 2014 Dodge Ram 2500, for which the Debtor owes $40,716.51 per POC No. 4-1. Retention of this vehicle is unreasonable and unnecessary, and at the expense of Debtor's unsecured creditors, as Debtor has asserted a corresponding deduction from monthly disposable income on the 22c. Id. Of note, the Debtor's monthly payment for the Dodge per the Debtor's 22c is $771.62 and for the Subaru is $677.79. The ownership standard allowance per the IRS guidelines and means test is $485.00 per vehicle.

The Plan further provides for Debtor to surrender her interest in a timeshare, but the budget reflects retention of the same with payment of $454.70 per month plus maintenance fees of $83.00 per month. See Petition, Doc. 1, p. 42. The Trustee objects to retention of this luxury property as being an unreasonable and unnecessary expense. To the extent Debtor has surrendered her interest in the timeshare, but in reality proposes to actually retain the property, such was not proposed in good faith.

The Plan also provides for Debtor to surrender her interest in a rental property identified as 610 S . Malcolm Street, Chanute, KS. However, the Schedule J shows mortgage payment of $505.00 per month for this property, insurance of $120.00 per month, and taxes of $45.00 per month. Petition, Doc. 1, p. 42. Per Debtor's testimony at a recent 2004 exam, the actual mortgage payment is $253.00 per month, the Debtor's daughter lives there and pays less than the monthly mortgage payment. Further, the mortgage creditor has filed a motion for approval of a loan modification. Doc. 25. To the extent Debtor has surrendered her interest in the property, but in reality proposes to actually retain it, such was not proposed in good faith. Retention of this property which is for the benefit of the Debtor's adult daughter only, is not in the best interest of the Debtor or her creditors . Further, the court should not approve Debtor debtor entering into a loan modification agreement with regard to surrendered property. If Debtor's non-filing spouse is permitted to keep the property, although Debtor may have to sign a mortgage due to any marital interest that may remain, it should be the non-filing spouse only that is obligated to make payment under the loan modification.

Debtor's 22c shows that the Debtor is above median income (AMI) with no disposable income (negative monthly disposable income "MDI" of $578.06). The Trustee asserts that Debtor is AMI with monthly disposable income of $435.11 and a pool of $26,106.60. Specifically, the Trustee objects to Debtor's deductions on the 22C on lines 13 and 33 for the Dodge Ram and Harley, as Debtor should be ordered to surrender the collateral per the Trustee's objection above. Further, Debtor uses a residential mortgage deduction of $723.93 on Lines 9 and 33, but the Trustee deducted $650 per month per the loan modification. See. Doc. 31, p. 2, (actual mortgage payment is $646.80 per month.) The Trustee further objects to the asserted special circumstance on Line 43 in the amount of $167.62, as home insurance is included within the standard deduction on Line 8 (Housing and utilities - Insurance and operating expenses.) (PL 42 - 44) ML 5-17-18 My OTC/MTD needs to be set on a trial track. If Robert is agreeable, I am amendable to it being set straight to a trial docket. Trial may take up to three hours, I think. JH

5/23 Cont 6/20. Trial set to July 24/25. TW

6/20/18 A mtn for relief has been filed by the mortgage company as to Debtor's homestead as the post -petition

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Docket # Case # Last Name Attorneypayments are not being paid directly. OFT 7/10. The t'ee is filing an MTD. ML

**Trustee is unavailable for the July 24/25 stacked docket. TLA

Per hrg 6/20, confirmation con't to July. Trial con't to Aug 15/16 stacked docket. JR

008 17-41388 Foster JOSEPH I WITTMAN>>> Fix in conf order, pool = $22,099.80.

1/24/18 Cont 2/21 -- D.A.I.C. TW

Per Hrg 2/21, con't to March. JR

Per hrg 3-21-18 -- scheduling order and confirmation will be joined with adversary hearing and will be noticed once determined. AB

6-13-18 Plan ready to confirm as last modified --need to specifically incorpate the order on the mtn to amend, pl #46. AB

Per hrg 6/20, confirmed as last modified, specifically incorporating the order on the motion to compel . JR

009 17-41396 Wilson JOSEPH I WITTMAN3-7-18 Amended plan. OBJ 4-3-18 HRG 4-25-18 FS 3-6-18 AB PL #27/28>>> Need to cont to April for objection deadline on amended plan>>> TEE FILED OTC/MTD

3-20-18 DEBTORS RESPONSE TO TEE MTD AND OTC. The debtor filed an amended plan on or about March 6, 2018. The debtors plan changes the provisions of the original plan and the Tee has objected. Tee indicates the plan is not feasible under 11 usc 1325(A)(6). Debtor disagrees. The debtors plan proposed to pay for a vehicle valued at $8,000 to Exeter Financial, the IRS, KDOR, atty fees, filing fees and Tee fees. The debtor calculates those amounts to around $19,799.00 to be paid over no more than 60 months. That computes to $330.00 month. The plan payments are $335 per month or $20,100.00 over the life of the plan. (IF the plan were t o run 36 months instead the plan would pay $20,288.00 over this time frame or about $563.00 per month). The plan is figured at the max allowed under the law and is feasible . Even if the Tees figures are correct. The excess disposable income income is $418 a month. As to the claim of Carmax on a 2012 Ford Fiesta. That claim hs been objected to since the vehicle is not in possession of the debtor and time has run on that objection and the Tee has approved an order disallowing such claim. FS 3-19-18 AB PL #35 AND PL #36

Per hrg 3-21-18, no call -- cont for OFT on amended plan. 21 days to amend plan and file amended I and J. AB

4-20-18 Objection was filed. It may be that I and J are not necessary. Pass to May, as DA is out of town. JH

4/25/18 Per hrg - con't 5/23. ML

5-21-18 DEBTORS OBJECTION TO CLAIM 6 OF KDOL. OBJ 6-18-18 HRG 7-9-18 FS 5-18-18 AB PL #41>>> NEED ORDER ON OBJECTION TO CLAIM

5/23 Cont 6/20. TW

6-13-18-17-18 TEE HAS A OTC/MTD re: The proposed plan payment of $335/mo not being feasible. In order for the plan be feasible, it will be necessary for the plan payment to increase to $351/mo. This is due to the IRS claim in the amount of $5,294.50 and KDOR claim in the amount of $622.78. Both creditors filed a proof of

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Docket # Case # Last Name Attorneyclaim for more than what the plan proposed to pay. AB PL #29/30/31>>>> PLAN PYMTS NOW NEED TO INCREASE TO $353/MO STARTING JULY 2018 TO REMAIN FEASIBLE -- DUE TO IRS AND KDOR (IRS CLAIM $6,404.92, IRS PER PLAN $2,190, KDOR CLAIM $622.78, KDOR PER PLAN $0.00). THE $353/MO DOES NOT INCLUDE THE SECURED CLAIM FILED BY KS DEPT OF LABOR $12,587.88 SECURED, $4,528.08 UNSECURED). OBJECTION TO KDOL CLAIM HAS BEEN FILED -- NEED ORDER ON OBJ TO CLAIM 6 OF KDOL. --- Are debtors agree to increase plan payments to $353/mo, starting July 2018 to remain feasbile? AB

6-14-18 P/e from DA - debtor agrees to increase pymts to $353/mo. An agreed order re: KDOL will be filed to resolve debtors objection to claim 6 of KDOL. ABPlan ready to confirm as last modified. AB

Per 6/20 hrg, auto confirm. JR

010 17-41422 Young MARK W NEIS1/24/18 Cont to 2/21 for Trustee's MTD - failure to provide copies of 2012 thru 2016 Federal and State Income Tax Returns to the Trustee. No call. TW

2-15-18 Also, in default 165. One payment of 165 made in January. Case filed November 26, 2017. Trustee received 2014 - 2016 returns. STILL NEED 2012 - 2013. TW

Per Hrg 2/21, con't to March. Still needs to file 2012 returns. (21) DDL for all returns to be filed & copies to the Trustee. JR3-15-18 I don't see that the 12 return has been provided. Still 165 in default. JH

Per hrg 3-21-18, cont to 4-25. AB.

4/19/18 2012 returns provided. Current through March. TW

4-20-18 Need payment caught up. JH

4/25/18 Per hrg - con't 5/23. MTD granted unless cure, abate or convert w/n 21 days. ML

5-23-18 Pass to June for oft on MTA. No call. TW

6/11/18: No objections were filed to MTA - need order.

Confirm. TLA

Per 6/20 hrg, auto confirm. JR

011 17-41452 Brown CHRIS W STEFFENSBMI (confirm as AMI)

Plan to run 60 mos @ $100/mo for (4) months, then increase to $350/mo for duration of plan (E.P.)---Default, $80.81 thru May. JR

1/24/18 Cont 2/21. TWPer Hrg 2/21, con't to March. Debtor is now employed. JR

Per hrg 3-21-18, cont to 4-25. DA has filed a deviation re: 22C -- the 24 yr old son is removed from the HHS on the means test - which would show case as AMI. AB

---(3/22) Amended Schedules I & J. (PL#24) JR (now obsolete due to loss of job)

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Docket # Case # Last Name Attorney

---(3/22) Debtors' Motion to Deviate: After filing, Debtors borrowed, and con't to use, a 2001 Chevy Malibu. Debtors pay the operational expense of this vehicle which is not included on the From 122C-2 calculation. Debtors at some point during the duration of the 60 month ACP will need to return the 2001 Chevy Malibu and either finance a vehicle or purchase a vehicle for cash. Debtors own a 2004 Dodge Dakota with 140,000 miles. This 14 yr old vehicle is currently running well and is reliable; however, it is reasonably foreseeable that this vehicle will need expensive service during the duration of the 60 month ACP. Debtors 13 yr old dependent will be entering high school next year and her school expenses are likely to increase due to participation on the dance team as well as expected increase in enrollment fees. Debtors 13 yr old dependent will be needing braces in the very near future. The total costs is expected to be $8,000 of which insurance will cover $1,000. Debtors will need to enter into a payment plan to fund this expected post-petition medical bill. Debtors budget on file with the court shows they cannot afford to pay more than $100/mo for the minimum ACP of 60 months. Debtors therefore request that they be allowed to deviate from the Means Test to complete their plan at $100/mo for the duration of the 60 month ACP. (OFT 4-11) (PL#26/27) JR

---(3/23) Trustee's Amended OTC/MTD (PL#29-31) & Trustee's Obj to Motion to Deviate (PL#32): The plan does not provide for payment in full of all allowed claims or all of the debtors' projected disposable income to be applied to payments under the plan as required by 11 U.S.C. 1325(b)(1)(A) and (B). The Plan proposes a payment of $100 per month for 36 months. Debtors are above median income and are required to make payments for 60 months. The motion to deviate does provide for 60 months of payments at $100 per month, but the debtors' amended budget under-reports Mr. Brown's income from his new employment. Debtors' own Schedules I/J would reflect $299.00 per month disposable income if his income was reported per his pay stubs. The deviation is therefore not proposed in good faith. Further, Debtors' mortgage payment is nearly double the allowable IRS standard for the debtors' household size and geographic region, which is $833 per month . The Debtors' Amended Schedules I/J do not reflect a "thin" budget. Rather, they have built-in "wiggle room" with some discretionary expenses, including entertainment, misc., cell phone/cable/Amazon Prime/cell phone app purchases as well as healthy personal care and clothing budgets. The Debtors' amended 22c reflects a pool of $36,919. The Trustee's version, even including a deduction for the additional vehicle described in Paragraph 2 of the Motion to Deviate, would reflect a pool of $38,592. If the deviation is allowed as filed, with payments at $100 per month for 60 months, Debtors would pay approximately $2,300 to unsecured creditors. Debtors assert various future expenses, largely without assigning specific amounts that, if accurate, would leave their case unfeasible. These expenses are too vague to be allowed as a deviation, and may be something that should be considered in the context of a 1329 motion based upon actual changes in circumstances as they occur in the future. JR

4/25/18 Per hrg - Mtn to Deviate con't to June 27-28 stack docket. Con't 5/23. ML

>>> Need special language in Conf Order: AMI case, ACP is 60 months, pool = $14,592, plan payments to increase to $350/mo beg. May, 2018. JR>>> Need Agreed Order resolving Trustee's obj to Mtn to Deviate. JR

5-17-18 OK to confirm with info noted immediately above. JH

---(5/21) Email from DA I was advised that Debtor 1 lost his job. The employer waited until day 90 of the 90 day probation to let him go. Debtor 1 is now filing for unemployment. Can we continue this to next month's docket? Can Debtors continue to pay the $100 until we get this sorted out? JR

>>> Trustee agrees to con't to June. JR

5/23 Cont 6/20. TW

6/11/18: Pymts reduced back down to $100/mo because debtor 1 lost job. Need resolution t/ee obj to motion to deviate. Debtor had agreed to 350 a month to resolve the objection, but then debtor lost job (since last amended I/J filed 5/11). Minimally, we need a mock 22C and another amended I and J. The AMI designation was

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Docket # Case # Last Name Attorneydetermined per the date of filing. - T/ee cannot determine whether the proposed deviation to $100/mo is now satisfactory due to job loss without Amended I/J and mock 22c. Case is on June 27/29 stacked docket. TLA Per hrg 6/20, voluntary dismissal filed. JR

012 17-41461 Wiggins CHRIS W STEFFENSBMI

Plan to run 60 @ $250/mo (D.P.) (Plan proposes payments of $80/MO)---in default $81.16 thru May. JR

---(1/5) Trustee's OTC/MTD: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until April, 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current . If so, at that time, the Trustee will likely recommend confirmation. (PL#21-23) JR

1/24/18 Cont 2/21. TWPer Hrg 2/21, case dismissed for default. JR

---(3/07) Order Granting Motion to Reinstate Chapter 13 Case. F.S. 03/06/18 (PL#45) JR

Per hrg 3-21-18, cont to 4-25. Status conference set for 4-26 at 9:40 regarding debtors objection to claim #1 of IRS. AB

4-20-18 Pass to May for IRS to be resolved. JH

---(4/25) Debtor's Obj to IRS claim (POC #1): Creditor has filed a claim in the amount of $12 ,728.58 for 2015 & 2016 tax years. The IRS takes the position that Debtor incorrectly claimed dependents on her tax returns. Debtor alleges that she properly claimed these dependents as they were living with her and she was caring for them. Debtor(s) pray that the Court sustain this objection and disallow the claim of IRS. (OFT 5-24) (PL#58) JR

4/25/18 Per hrg - con't 5/23. ML

---(4/27) MTD, $180/APRIL @ $80/MO. (OFT 5-18) (PL 61/62) DB

---(5/09) Debtor's Obj to MTD: Debtor now has IWO issued. Debtor made a payment of $85 on 5-6-18. Debtor will make another payment and will be current by 5-20-18. Debtor(s) will, by the time of the hearing on this matter, either be current, or will file pleadings which will abate missed payments and cure the issue raised in the MTD. (PL#63) JR

---(5/23) No Call -- con't to June for OFT on Debtor's obj to IRS claim (5-24) & for default in plan payments to be cured. TW

---(5/25) Order Granting Unopposed Motion to Extend Time to Respond to Debtor(s) Objection to Claim of IRS and Continue Hearing. The United States' response is now due on or before 7-6-18. The hearing will be held on 7-18-18 @ 9:00 am. Because of the length of requested extension, the Court requests AUSA or other IRS representative appear at the next hearing on this case (6-20-18)--by telephone if necessary--to advsie court whether it is possible to identify issues and enter into scheduling order earlier than July docket. (PL#67) JR

Per hrg 6/20, con't to status conference July 19th @ 9:00 am. JR

>>> If & when plan confirmed, need to reserve potential claim against City of Lawrence in confirmation order . JR

013 17-41487 Ray JILL A MICHAUX

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Docket # Case # Last Name Attorney 2-14-18 AMENDED MTN TO RECONSIDER DISMISSAL AND REINSTATE CASE (AMENDED TO CORRECT DATE OF DISMISSAL). Debtor moves the court for an order and reconsidering its order of dismissal entered Feb 7, 2018 and reinstating the case. Debtor paid $595 to the Tee on 2-8-18 and will continue to make pymts to the Tee while this mtn is pending. Debtor wasp aid late Feb 7 and paid the Tee the following day. Unfortunately, the case was dismissed on Feb 7. No party will be prejudiced by reinstatement. If the case is not reinstated, the debtor will be prejudiced by having to file another Bk case and facing possible adverse creditor action during the gar between dismissal and refiling. Debtor risks repossession of her vehicle. Under the circumstances, the court should exercise its authority and rule and reinstate the case. FS 2-9-18 AB PL #40 >>> 2-14-18 NOTICE OF NON EVIDENTIARY HEARING. HRG 2-21-18 FS 2-9-18 AB PL #41

2-14-18 MTN TO SHORTEN TIME. Debtor respectfully moves the court to enter an order shortening notice time on their mtn and setting the mtn for hearing on 2-21-18 at 9:00 am. FS 2-9-18 AB PL #42 >>> 2-14-18 ORDER GRANTING MTN TO SHORTEN TIME FOR NOTICE. Debtor shall give notice of hearing on the mtn for 2-21-18 at 9:00. FS 2-9-18 AB PL #47

2-14-1 Plan is ready to confirm if the MTR is granted - but should not be put on the 'auto confirmed' list. Case needs to be called at docket as the MTR was set straight to the confirmation docket. AB

Per Hrg 2/21, Confirmation con't to March. Need current address for debtor (mail returned to Trustee 2/13/18). JR

2-23-18 Order Granting Amended Motion to Reconsider filed. PL #52

3-15-18 Address change has been filed with court. Showing DQ of $530. AB

3-15-18 Only one payment received. Case should be continued for debtor to get current. JH

Per hrg 3-21-18, no call -- cont for pymts. AB

4-20-18 Case was dismissed and reinstated. Pass for debtor to get current JH

4/25/18 Per hrg - con't 5/23. ML

5-17-18 DQ $793.21 thru April. AB

5-21-18 TEE MTD. $1067.83/APRIL OBJ 5/23 HRG 6/20 (PL62/63)

5-21-18 DEBTORS OBJECTION TO TEE MTD. Debtor has become reemployed at St Francis and pymts have been made to the Tee. Debtor is exploring options for modifying her plan. FS 5-20-18 AB PL #64 >>> Per email from DA - would like to continue to June as debtor just filed a response to Tee MTD.

5/23 Cont 6/20. TW

6-13-18 DQ $1,113.59 thru May 2018. AB

Per hrg 6/20, confirmed. JR

014 17-41512 Liby MARK W NEISBMI -- current at $350/mo -- 44 months

02/14/18 Not ready to confirm. 21 ddl for Amended I & J as debtor has changed jobs & income is less. TW

Per Hrg 2/21, No Call -- Con't to March. (21) DDL for amended Sch I & J. JR

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Docket # Case # Last Name Attorney3-16-18 Not done but income in a state of flux. Companion case , 18-40134. He is unemployed but highly skilled in aerospace. Interviews in progress and anticipates being re-employed soon. Would like to pass until April, if Court agrees. Will put provisionally on no call list. JH

Per hrg 3-21-18, no call -- cont for amended I and J. New 21 ddl. AB

4/19/18 Payments are current. No amended I/J. TW

4-20-19 Pass DA is out of town. Also need amended I and J. and don't know if debtor is re employed. JH

4/25/18 Per hrg - con't 5/23. 21 DDL for amended I & J. ML

5-17-18 Not done. JH

5/23 Cont 6/20 -- another 21 DDL for amended I/J. TW

6/13/18 Amended I & J have not been filed -- this has been an issue since Feb/2018. TW

Per hrg 6/20, con't to July. (21) DDL to file amended Sch I/J. JR

015 17-41544 Hernandez-Lopez MARK W NEIS2/14/18 The mortgage arrearage claim needs to be addresses as Debtors testified at 341 that the payment had been made. Need amended Sch C to list the homestead. Con't to March. 21 day DDL to address mortgage arrearage claim & file amended Sch C. ML

Per Hrg 2/21, No Call -- Con't to March. (21) DDL to address mortgage arrearage POC & file amended Sch C. JR

3-16-18 Check for response, but pass as DA is out of town. JH

Per hrg 3-21-18, no call -- cont as DA is out of town. AB

4/19/18 The arrearage claim filed by US Bank Home Mortgage still needs to be addressed. ML

4/25/18 Per hrg - con't 5/23. ML

5/17/18 The MTD for failure to pay the mortgage (doc. 25) was denied by Order filed 2/2/18 (doc. 27) , however, Debtors have not addressed the arrearage claim and the plan has not been amended to make this a conduit case. ML

5/21/18 Debtor has filed an objection to the mortgage claim. OFT 6/12. Con't to June for OFT to pass. ML

5/23 Cont 6/20. TW

5/21/18: Debtor's Obj to POC # 5 of US Nat'l Bank: Claim shows arrearage for Dec of 2017. Due to a post petition auto-payment on a vehicle being surrendered Debtor did not have sufficient funds to make Dec mortgage payment timely. During the weeks after filing, Debtor paid both the Dec and Jan mortgage pymts. Debtor has made all other mortgage pyms. The POC does reflect receipt of the Dec pymt. Creditor has not amended the POC, therefore Debtor objected. Permit creditor to amend the claim or otherwise enter an order disallowing the claim filed without prejudice to an amended POC. PL# 47 TLA

5/30/18: US Nat'l Bank's Response to obj to POC: Creditor will research records re: Dec pymt. Even if the payment was received and applied pre-petition, the creditors claim also consists of projected escrow shortage and prepetition fees. (William T. Holmes) PL# 50 TLA

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Docket # Case # Last Name Attorney

6/19/18 Per emails between creditor's counsel & DA, they agree to a continuance to July for US Bank to provide Mr Bogart w/ a payment history. DA requests to D.A.I.C.. ML

Per hrg 6/20, con't to July. Order to disburse as if confirmed. JR

016 17-41557 Gustin HARPER LAW OFFICEBMI

Plan to run 60 months @ $115/mo (D.P.)---Default, $230 thru May. JR

---(2/01) Trustee's OTC/MTD: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until May, 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current . If so, at that time, the Trustee will likely recommend confirmation. (PL#18-20) JR

Per Hrg 2/21, Con't to March. JRPer hrg 3-21-18, cont to 4-25. AB

---(4/04) MTD, $230/MARCH @ $115/MO. (OFT 4-25) (PL 35/36) DB

---(4/18) No Call -- Con't to May to track status of plan payments. Money order posted 4-18-18 brings case current through March. JR4/25/18 Per hrg - con't 5/23. ML

---(5/17) Plan payments are in default $115 thru April. JR

5/23 Cont 6/20 -- for resolution of issues or plan will be dismissed. TW

6/11/18: DQ $230 thru May. Nothng has been filed that fixes feasibility issues - and pymt history has evidenced that case not feasible. Case should be dismissed. TLA *P/C from Debtor 6/13, Debtor will pay $230 "ASAP" and make June pymt in 2 weeks. TLA**Per DA, Debtor does not respond to DA's emails, letters or phone calls. TLA

Per hrg 6/20, confirmed. JR

017 18-40023 Wilhelm MARK W NEISBMI -- current at $365/mo

2/16/18 Trustee's OTC/MTD for LOF: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until May 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation. TW

03/14 Need amended SOFA to include 2016 - YTD income (21 ddl). TW

Per hrg 3-21-18, no call -- cont to May to check status of plan payments. 21 ddl for amended SOFA to include 2016 - YTD income. AB

5/23 Cont 6/20 -- (another) 21 DDL for an amended SOFA. TW

6/13 Still need amended SOFA to include 2016 - YTD income. Plan payments are current. TW

Per hrg 6/20, confirmed. JR

018 18-40026 McGee, Jr. GARRETT LAW LLC

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Docket # Case # Last Name Attorney3/2/18 T'EE OTC/MTD: Per Debtor's testimony at the 341 hearing, there has been a change in income. The Trustee needs updated employment and income information to assess feasibiltiy. (PL 22) ML

3/14/18 Need updated I and/or J to assess feasibility. 21 day DDL. Con't to April. ML

Per hrg 3-21-18, no call -- cont to April for amended Sch i and/ or J -- 21 ddl . AB

4/19/18 Still need amended I and/or J. ML

4/25/18 Per hrg - con't 5/23. ML

5/23/18 Con't to June -- 21 day deadline to update employment info and filed amended I/J if appropriate. No call. TW

6/13/18 Have not received any updated employment info or amended I/J. ML

>>> FIX IN CONF. ORDER: Debtor is below median & the ACP is 3 yrs

Per hrg 6/20, con't to July. Debtor has taken a 2nd job. Sch J expenses will stay the same. (21) DDL to file amended Sch I and provide most recent paystubs. JR

019 18-40055 Bryan JOHN R HOOGEBMI

Plan to run 45 months @ 100/MO (D.P.)---Current. JR

---(2/20) Trustee's OTC/MTD: There appears to be excess expenses in Schedule J: $572/mo telephone, cell phone, internet, satellite, and cable services; $250/mo entertainment, clubs, recreation, newspapers, magazines, and books. (PL#23-25) JR

---(2/26) Debtor's obj to MTD: The Debtor is amending his Schedules I and J to reduce living expenses. At the present time, it appears such amendment will increase the monthly disposable income from $101 to $426 . (PL#26) JR

---(3/07) Debtor's Obj to IRS claim #1: The Debtor did not owe income taxes for the years 2014, 2016 or 2017. The Debtor has filed two affidavits stating he had insufficient income to file returns or owe taxes for such years . (OFT 4-6) (PL#29) JR *****Obj w/drawn 6/19---DA to file a replacement objection. JR

---(3/07) Amended Schedules I & J: Total Income $4,901.93; Total Expenses $4,575.93, leaving net income of $326/mo. (PL#28) JR

>>> telephone, cell, internet, satellite & cable services reduced by $200>>> entertainment, clubs, recreation, newspapers, magazines & books reduced by $125>>> medical & dental expenses increased by $100>>> Result, $225 net increase in net income.

---(3/14) Should plan payments be increased by $225, from $100/mo to $325/mo? JR

Per hrg 3-21-18, cont to 6-20. If there is a change in I and/ or J before next docket - need to amend by June 14th. AB

Per hrg 6/20, con't to July. Mrs Bryan is not working; plan payments need to stay @ $100/mo. (7) DDL to file amended Sch I/J. JR

020 18-40056 Fairbanks, Jr ROBERT W LATTIN

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Docket # Case # Last Name AttorneyBMI

Plan to run 60 months @ $757/MO (E.P.)---In default $248.13 thru May. JR

---(2/05) Letter to Debtors: Remit $399 from 2017 refund. ***********$399 rec'd**********JR---(3/07) Letter to Debtors: Remit $3,049.00 from 2016 refund. *********$3,049 rec'd*********JR

Per hrg 3-21-18, cont to 4-25. 21 ddl for tax refund to be remitted. AB4/25/18 Per hrg - con't 5/23. ML5/23 Cont 6/20 -- Trustee to prepare an order to compel as to the 2016 tax refund. TW

---(6/13) Tax refunds for both 2016 & 2017 now rec'd. Remaining issue is default in plan payments. No payment made in Feb 2018 (1st payment due), so plan payments are in default . JR

>>> If & when case ready to confirm, include special language in Conf Order: Correct amount of attorney fees is $3,100 (BMI). JR

Per hrg 6/20, confirmed w/ special language re attorney fees. JR

021 18-40058 Garlic LARRY E SCHNEIDERBMI

2nd Amended Plan to run 60 months @ $270/MO (D.P.)---Current. JR

Per hrg 3-21-18, cont to 4-25. AB

4-21-18 Email from DA on 4-20. Appraisl on guns came in higher than expected. Need either increase to cover new BIOCT or debtor to sell guns. Need advise from DA. Need amended plan to address. 21 days? JH

4/25/18 Per hrg - con't 5/23. 21 DDL to amend plan to state that guns are to be sold. 30 DDL for mtn to sell guns. ML

---(5/01) 2nd Amended Chp 13 Plan. Now using the correct plan form. Increasing plan payments to $270/mo. BIOCT: Increasing total liq. value to $12,095.25. In addition, debtor owns an additional $4,400 of antique firearms that will be sold at auction for the benefit of the estate. HRG 5-23 (PL#43/46) JR

---(5/17) Still need DA to file a Motion to sell the guns & appoint auctioneer -- need terms of sale. JR

5/23/18 Cont 6/20 -- another 21 DDL for DA to file a motion to sell the guns, etc. TW

Per hrg 6/20, con't to July. (21) DDL to file Motion to Sell guns. Order to disburse as if confirmed. JR

022 18-40102 Powell ADAM MACKBMI -- current at $335/mo

03/08/18 Trustee's OTC/MTD: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until June, 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current . If so, at that time, the Trustee will likely recommend confirmation.

Trustee objects to Section 15 of the Plan, Best Interest of Creditor Test. This is objectionable in that it does not protect the estate, particularly given the Debtor's unreasonably low income and expenses and the significant cash assets involved. Schedule A/B indicates Debtor is due to receive $50,000 in lump sum settlement on March 18, 2020, and $130,700 on March 18, 2025. To the extent all allowed unsecured claims have not yet been paid in full at the time of the distributions described, the funds should be disbursed to creditors .

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Docket # Case # Last Name Attorney

Trustee objects to Section 14 of the Plan, General Unsecured Creditors, in that no mention of payment in full of all allowed unsecured claims is made. The confirmation order should state that this plan will provide for payment of all allowed unsecured claims in full. TW

03/14/18 Debtor's objection to Trustee's OTC/MTD: The debtor believes the plan is feasible.The debtor does not object for his case to be continued docket to docket until June 2018.The debtor does not object that the funds of the $50,000 lump sum settlement set to be received on 03/18/20 and $130,700 on 3/18/25 should be disbursed to all allowed unsecured claims that have not been paid in full at the time debtor receives the lump sums.The debtor does not object to the confirmation order stating that the plan will provide for payment of all allowed unsecured claims in full. TW

03/14 Con't to June to check status of plan payments, and resolve the Trustee's objections to Section 14 & 15 of the plan. TW

Per hrg 3-21-18, no call -- cont to June to check status on plan pymts and resolve the Tee objections to Section 14 & 15 of the plan. AB

4/19/18 Trustee to request an order to disburse as if confirmed. TW

6/13/18 The confirmation hearing held in March was cont'd to June; therefore, the Trustee could not request to disburse as if confirmed on April 25. Trustee's OTC/MTD is not resolved.If the plan is not confirmed in June -- need to request to disburse as if confirmed. TW

Per hrg 6/20, confirmed w/ special language reserving the BIOCT in the event that the plan ceases to pay general unsecured creditors 100%, and provided that zero of the funds that debtor is to receive from the personal injury case be spend without further order of this Court. JR

023 18-40116 Phillips, Jr. GARRETT LAW LLCBMI -- current at $130/mo

03/08/18 Trustee's OTC/MTD -- The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until June, 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current . If so, at that time, the Trustee will likely recommend confirmation. F.S. 03/08/18 TW

03/14 con't to June to check status of plan payments. TW

Per hrg 3-21-18, no call -- cont to June to check status of plan pymts. AB

6/13/18 Confirm. TW

Per 6/20 hrg, auto confirm. JR

024 18-40118 Schroeder CHRIS W STEFFENSBMI -- current at $90/mo

03/08/18 Trustee's OTC/MTD -- The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until June, 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current . If so, at that time, the Trustee will likely recommend confirmation. F.S. 03/08/18 TW

03/14 con't to June to check status of plan payments. TW

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Docket # Case # Last Name AttorneyPer hrg 3-21-18, no call -- cont to June to check status of plan pymts. AB

6/13/18 Confirm. TW

Per 6/20 hrg, auto confirm. JR

025 18-40120 Amos GARRETT LAW LLCBMI -- current at $80/mo

03/14 con't to April for 2012 - 2017 returns (21 ddl). 341 is not concluded. TW

Per hrg 3-21-18, no cal -- cont to April for 2012 - 2017 returns -- 21 ddl. AB

04/03/18 Received 2013 - 2016 returns. Received tax affidavit for 2012. Need 2017 returns. 341 is not concluded. TW

4/19/18 Order grants debtor a further 21 day extension of the deadline. Debtor shall provide 2012 - 2017 tax returns by 5/2/2018. -- Note: received 2013 - 2016 returns. Still need 2017 returns. TW

4-21-18 Call case to address 17 return. JH

4/25/18 Per hrg - con't 5/23. 21 DDL for 2017 returns. ML

6/13/18 Debtor has not provided the 2017 returns & the deadline has expired. TW

Per hrg 6/20, con't to July. (21) DDL to file 2017 tax returns & provide a copy to the Trustee. JR

026 18-40123 Lane GARRETT LAW LLCBMI -- current at $160/mo

03/08/18 Trustee's OTC/MTD -- The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until June, 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current . If so, at that time, the Trustee will likely recommend confirmation. F.S. 03/08/18 TW

03/14 con't to June to check status of plan payments. IRS is missing 2013 returns -- 21 ddl. TW

Per hrg 3-21-18, cont to June to check status of plan pymts. IRS is missing 2013 returns -- 21 ddl. AB

04/05/18 The 2013 Federal and State tax returns have been prepared and filed. TW

6/13/18 Confirm. TW

Per 6/20 hrg, auto confirm. JR

027 18-40125 Herold JOSEPH I WITTMAN3/15/18 T'EE OTC & MTD. Lack of feasibility due to Debtor's unemployment (PL 20-22)

3/16/18 OBJ TO OTC & MTD. Debtor is unemployed at present. He has a job which will start in a couple of weeks. Debtor will have regular income as of that point. The T'ee motion is w/o merit. (PL 25-26)

4/25/18 Per hrg - con't 5/23. 21 DDL for amended I & J. ML

5/17/18 No amended I & J. Plan payments are current. ML

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Docket # Case # Last Name Attorney5/21/18 Amended I & J have been filed. Debtor is now showing excess disposable income of $335/mo. ML

5/23 Cont 6/20 for DA to provide the amount plan payments are increasing to. TW

6/13/18 Per the plan, payments have increased to $750/mo as debtor is now employed. There is not excess disposable income of $750/mo. T'ee OTC/MTD has been withdrawn. Plan can be confirmed. ML

Per 6/20 hrg, auto confirm. JR

028 18-40131 Brown GARY E HINCK PA3/15/18 T'EE OTC & MTD. The income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until June 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation. (PL 20-22)

4/18/18 Con't to May for more payments. ML

4/25/18 Per hrg - Con't 5/23. ML

5/23/18 Con't to June for payments. No call. TW

6/13/18 T'ee OTC/MTD withdrawn. Ready to confirm. ML

Per 6/20 hrg, auto confirm. JR

>>> FIX IN CONF ORDER: Only the 2018 EIC portion of tax refund is exempt

029 18-40134 Hamilton MARK W NEIS3/15/18 T'EE OTC & MTD: Lack of feasibility due to Debtor's unemployment (PL 18-20) ML

3/22/18 OTC, CAPITAL ONE AUTO: Sec'd by a 2010 Ford F-150. Plan value = $13,500.00. Creditor value = $21,275.00. As the total amount of the debt is less than the NADA retail value, Creditor is entitled to be paid the full amount of it's claim, $19,056.07 + interest at the T'ee rate. (CA: Michael Gaughan) (PL 25) ML

4/25/18 Per hrg - con't 5/23. ML

5/17/18 T'ee OTC/MTD and OTD filed by Capital One Auto remain unresolved. ML5-17-18 Need reemployment information, paystubs etc. JH

5/23 Cont 6/20 -- 21 DDL for Amended I/J & paystubs. OTC by Capital One Auto set to stack docket on June 27/28. TW

6/13/18 T'ee OTC/MTD is not resolved. No amended I/J or paystubs. OTC of Capital One Auto is unresolved & is set to the June 27/28 stack docket. ML6/19/18 Amended I & J have been filed. T'ee has withdrawn his OTC/MTD. Debtor and Capital One have agreed to a value of $16,000.00. An agreed order is circulating. In order to pay the higher value, plan payments would need to increase to $422/mo in April 2019 - after the lease w/ Aaron's is paid off. ML

Per hrg 6/20, con't to July. (21) DDL to file amended Sch I/J. JR

030 18-40135 Housworth, Jr TODD A LUCKMAN4/17/18 Mtn to abate filed. OFT 5/7. Per the 341 hrg, the 2017 returns were filed & refund spent prior to filing. 21 day DDL for copy of returns & printout of how refund was spent. Con't to May for OFT on MTA. ML

4/25/18 Per hrg - Con't 5/23. 21 DDL for returns & itemization. ML

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Docket # Case # Last Name Attorney5/17/18 The T'ee is now getting regular payments from Debtor's employer. Still need the 2017 returns & itemization of how the refund was spent. ML

5/23 Cont 6/20 -- 21 DDL for the 2017 returns & itemization of how the refund was spent. TW

6/13/18 2017 returns have been recv'd. Still need itemization. Plan payments are current. ML

Per hrg 6/20, con't to July. (21) DDL for itemization; Trustee to file MTD. JR

031 18-40142 Grisham GARY E HINCK PA4/18/18 Need amended plan to correct the ACP, Sec. 11 & Sec. 17. 21 day DDL. Con't to May. ML

4/25/18 Per hrg - Con't 5/23. 21 DDL for amended plan. ML

5/23/18 Con't to June for OFT to pass. No call. TW

6/13/18 Amended plan may be confirmed. ML

Per 6/20 hrg, auto confirm. JR

032 18-40156 Powell KRISTINA ZHILKINA-CRUMPBMI

Plan to run 40 months @ $80/mo (E.P.)---Currernt. JR

---(3/30) Trustee's OTC/MTD: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until June 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current . If so, at that time, the Trustee will likely recommend confirmation. (PL#20-22) JR

4/25/18 Per hrg - con't 5/23. ML

---(5/23) No Call -- Con't to June to track status of plan payments. TW

---(6/13) Current. Okay to Confirm. JR

Per 6/20 hrg, auto confirm. JR

033 18-40158 Simmons GARRETT LAW LLCBMI

Plan to run 53 months @ $60/mo (E.P.)---Current. JR

---(3/30) Trustee's OTC/MTD: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until June 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current . If so, at that time, the Trustee will likely recommend confirmation. (PL#19-21) JR

---(4/18) No Call -- Con't to May to track status of plan payments. JR4/25/18 Per hrg - con't 5/23. ML

---(5/23) No Call -- Con't to June to track status of plan payments. TW

---(6/13) Current. Okay to Confirm. JR

Per 6/20 hrg, auto confirm. JR

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Docket # Case # Last Name Attorney

034 18-40164 Yoning GARRETT LAW LLCBMI

Plan to run 56 mos @ $298/mo (E.P.)---Current. JR

---(3/30) Trustee's OTC/MTD: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until June 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current . If so, at that time, the Trustee will likely recommend confirmation. (PL#15-17) JR

---(4/18) No Call -- Con't to May to track status of plan payments. JR4/25/18 Per hrg - Con't 5/23. ML

---(5/23) No Call -- Con't to June to track status of plan payments. TW

---(6/13) Current. Okay to Confirm. JR

Per 6/20 hrg, auto confirm. JR

035 18-40166 Cox CHRIS W STEFFENSBMI

Plan to run 38 months @ $90/mo (E.P.)---Current. JR

---(3/30) Trustee's OTC/MTD: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until June 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current . If so, at that time, the Trustee will likely recommend confirmation. (PL#16-18) JR

---(4/03) Rec'd copy of letter that IRS sent Debtor: No Federal returns for 2012 & 2013. IRS claim also indicates no returns filed for 2012 & 2013. JR

---(4/18) What is the status of the 2012 & 2013 returns? Need to con't case to May to track status of plan payments. JR

4/25/18 Per hrg - con't 5/23 for affidavit & payments. ML

---(5/23) Cont to June for payments. 21 day deadline to file tax affidavit re tax years 2012 & 2013. No call. TW

---(6/13) Plan payments are current, but still need 2012 & 2013 tax affidavit . JR

Per hrg 6/20, con't to July. (21) DDL to file 2012 & 2013 tax returns and/or affidavit, and provide a copy to the Trustee. JR

036 18-40171 Hernandez Jr. GARY E HINCK PAAMI w/ pool, $16,661.40

Plan to run 60 mos @ $375/mo (E.P.)---Current. JR

---(3/29) Per 341 hrg, Trustee has requested that DA file a motion re Harmon Financial (due to amount plan proposes to pay, $1,125). JR

---(3/29) Letter to Debtor: Need to remit $461.00 of the 2017 pre-petition tax refund. WW

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Docket # Case # Last Name Attorney4/25/18 Per hrg - con't 5/23. ML

---(5/17) Need debtor to turnover $461 from 2017 tax refund & need DA to file Motion re Harmon Financial (due to amount plan proposes to pay, $1,125 & because Harmon is listed as a separate class, not administrative expense). JR

5/23 Cont 6/20 -- 21 DDL for a motion re: Harmon Financial & turnover of $461 from 2017 tax refund. TW

---(6/13) Debtor's Motion to pay Admin. Expenses: Harmon Financial, $1,125 to be paid in full through the plan for preparation of 2008-2015, 2017 tax years. (OFT 7-3) (PL#28/29) JR

---(6/13) Still need turnover of 2017 tax refund, $461. JR

Per hrg 6/20, con't to July. (14) DDL to provide Trustee with the 2008-2015 tax returns. JR

037 18-40173 Schwinn ADAM MACKBMI

Plan to run 53 months @ $300/mo (E.P.)---Current. JR

---(3/30) Trustee's OTC/MTD: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until June 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current . If so, at that time, the Trustee will likely recommend confirmation. (PL#18-20) JR

---(4/02) Debtor's Obj to MTD: The Debtor believes his plan is feasible. The debtor does not object to the case being continued from docket to docket until June 2018 to prove the case is feasible. (PL#21) JR

---(4/18) No Call -- Con't to May to track status of plan payments. JR4/2/518 Per hrg - con't 5/23. ML

---(5/23) No Call -- Con't to June to track status of plan payments. TW

---(6/13) Current. Okay to Confirm. JR

Per 6/20 hrg, auto confirm. JR

038 18-40179 Cameron JILL A MICHAUXNot ready to confirm

4-18-18 Need Lynn's 2017 tax returns. T/ee and DA may not be in agreement as to how oil and gas royalty payments would be disbursed -- whether to only GU's per BIOC/1325 or to include admin and priority under 507? AB

4/25/18 Per hrg - con't 5/23. ML

5-17-18 22 C issues. Per one paystub from each debtor, annual income was $76,399.08. Per review of debtors 2017 returns - Debtors total income $85,993.00. Either number is above median income ($63,754) Debtor reported $61,279 on 22C. Schedule I shows $55,945.80 in wages. - Tee believes that this case should be AMI, not BMI, based on the forgoing but having the six months paystubs would probably clear it up and perhaps some explanation. JH

5/23 Cont 6/20 -- oil & gas royalty resolved; 22c issues are not resolved. TW

6-13-18 T'ee to review information provided by DA re: 22C issue. AB

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Docket # Case # Last Name Attorney

Per hrg 6/20, con't to July for Trustee to review information provided by DA. JR

039 18-40185 Dennis JOSEPH I WITTMAN4-2-18 Tee MTD. Default in plan payments. Debtor is required to make her first plan payment to the Chapter 13 Trustee within 30 days of the filing of the case pursuant to 11 USC 1326. This payment was not made as required. OBJ 4/23 HRG 5/23 (PL 25/26)

4-18-18 DEBTORS OBJECTION TO MTD. The debtor is behind in pymts but believes $323 will be paid by 27th of April and catch up any arrearage before the end of May as well as make the May pymt by the end of May 2018. FS 4-17-18 AB PL #29

4/25/18 Per hrg - con't 5/23. ML

5-10-18 TEE OTC/MTD. The plan is not feasible, as the income and expense shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until July to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation. HRG 5-23-18 AT 1:30 PM AB PL #36/37/38

5-17-18 DQ $346.92 thru April. AB

5/23 Cont 6/20 -- 21 DDL to amend plan & provide SSN. TW -- DEBTOR HAS PROVIDED HER PROOF OF SSN. AB

6-13-18 DQ $371.76 thru May 2018. Still need amended plan to include Westar and Kansas Gas under Section 17 - with explanation on how creditors will be treated/ paid thru the plan. AB

6-14-18 Per email from DA -- will be filing a MTA. Still need amended plan. AB

Per hrg 6/20, con't to July. (14) DDL to file amended plan & file MTA. Order to disburse as if confirmed. JR

040 18-40190 Nemnich JOHN R HOOGE>>> Reserve pool issue in confirmation order in case ceases from paying 100%

4-18-18 Need to cont confirmation until after the bar date of 5-10-18, to check feasibility as 100% plan. AB

4/25/18 Per hrg - con't 5/23. ML

5-17-18 Feas review - case runs 59 months at $1,000/ mo - paying 100%. DQ $1,000 for April. AB

5-17-18 MTD should be on file before docket. Only one payment received. Call case for deadline setting for WOSL.

5-17-18 Tee MTD. Default Amount $1,000/APRIL OBJ 6/7 HRG 6/20 (PER JH) (PL

5/23 Cont 6/20 -- 21 DDL to amend SOFA; provide WOSL; and file a MTA. TW

5-29-18 OBJECTION TO TEE MTD. That debtor is filing a MTA pymts which resolves the Tee MTD. As stated in such MTA, debtor believed he had paid the missing April pymt when he paid his first onths pymt hwihc was posted on 3-28-18. Debtors counsel mistakenly advised debtor at the 341 that the 1st months pymt was due in April. But, since this case was filed on 3-1-18, the first pymt was due on 3-31-18. And a second months pymt was due in April. Although the debtor would like to get caught up with such pymts by paying an extra $200 a monht. which he may doe, he cannont make up such $1,000 missed pymt earlier than that. FS 5-25-18 AB PL #22

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Docket # Case # Last Name Attorney5-29-18 MTA . Abates the April 2018 pymt. OBJ 6-15-18 HRG 7-9-18 FS 5-25-18 AB PL #20/21

6-13-18 Will need order on MTA if no objection filed by 6-15-18. Still need WOSL from Denise Christman. AB

>>> Need WOSL re Denise Christman (ex-wife) and the $8,300 debtor paid her May 2017 (this was for a parent loan from son going to college-he owed 1/2). JR

Per hrg 6/20, confirmed w/ Order on MTA. Rec'd WOSL. JR

041 18-40191 Anderson JOHN R HOOGE4-2-18 T'EE OTC/ MTD. The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until June to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation. HRG 4-25-18 AB PL # 17/18/19

4-18-18 Cont to May for plan payments. Debtor is current at this time. AB

4/25/18 Per hrg - con't 5/23. ML

5-11-18 MTN TO ABATE. Debtor will abate his April, 2018 pymt and resume his pymts as of May, 2018 by making one pymt by May 31, 2018. Failure to resume by said date will result in an automatic dismissal of this case. OBJ 5-29-18 HRG 6-20-18 FS 5-8-18 AB PL #22/23

5/23 Cont to June for OFT on MTA. No call. TW 6-1-18 Order Granting Debtor's Motion to Abate Payments circulating. Abates all missed payments due prior to May 2018 with payments to resume by 5/31/2018 or case can be dismissed. -- Plan pymt posted 5-21-18, for $200. Confirm as last modfied. AB

Per 6/20 hrg, auto confirm. JR

042 18-40201 Roque MARK W NEIS4/18/18 Need D.A. to file an objection to the Anderson Financial POC -- 21 ddl. Need 2016 & 2017 tax returns -- 21 ddl. TW

4/25/18 Per hrg - con't 5/23. 21 DDL for obj to Anderson Fin'l claim (done) and 2016 & 2017 returns (not done). ML

5-18-18 No returns received. JH

5/23 cont 6/20 -- Trustee to file a MTD for debtor's failure to abide by court's order of 4/25/18 to provide the Trustee with 2016 & 2017 tax returns. TW

6/13/18 Trustee's MTD has not been responded to, and the 2016 & 2017 returns have not been provided to the Trustee. TW

>>> Note: once plan is ready to confirm, need spcl language in conf order re vesting: at discharge or dismissal of case. TW

Per hrg 6/20, con't to July. (7) DDL to file missing returns & provide a copy to the Trustee, or MTD granted. JR

043 18-40202 Boyett ADAM MACK3/30/18 Trustee's OTC/MTD for LOF: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until June 2018

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Docket # Case # Last Name Attorneyto determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation. TW

04/02/18 Debtor's objection to Trustee's OTC/MTD. The debtor believes his plan is feasible. The debtor does not object to the case being continued from docket to docket until June 2018 to proof the case is feasible . TW

4/18/18 Cont to June for status of plan payments. 21 ddl for DA to amend plan to add city fines to be paid through the plan. TW

4/25/18 Per hrg - con't 6/20. 21 DDL for amended plan. ML

6/13/18 Payments are current. Still need an amended plan to add city fines through the plan. TW

6/18/18 Email from DA: The debtor initially thought that he needed some fines to be paid through the plan, but he looked into it more and he doesn't need those paid through the plan. So we will not be amending the plan. The plan is ready to confirm. TW

Per hrg 6/20, confirmed. JR

044 18-40205 Bryant GARY E HINCK PA BMI -- Current at $100/mo

4/20/18 Trustee's OTC/MTD:

The Plan is not feasible as required by 11 U.S.C. 1325(a)(6).

The income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until 07/20/2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation. TW

5/23/18 Cont to June to check status of plan payments. No call. TW

6/13/18 Cont to July to check payment status. TW

Per 6/20 hrg, No Call--con't to July to check status of plan payments. JR

045 18-40208 Schaefer ADAM MACK5/23/18 Cont to June for oft on Amended Plan. No call. TW

6/13/18 Confirm as last modified. TW

Per 6/20 hrg, auto confirm. JR

046 18-40210 Rush, Jr. GARRETT LAW LLC BMI -- current at $100/mo

4/20/18 Trustee's OTC/MTD:

The Plan is not feasible as required by 11 U.S.C. 1325(a)(6).

The income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until 07/20/2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation. TW

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Docket # Case # Last Name Attorney 5/23/18 Cont to June to check status of plan payments. No call. TW

6/13/18 Cont to July to check payment status. TW

Per 6/20 hrg, No Call--con't to July to check status of plan payments. JR

047 18-40213 Johnson, Jr. HARPER LAW OFFICE BMI -- current at $360/mo

4/20/18 Trustee's OTC/MTD:

The Plan is not feasible as required by 11 U.S.C. 1325(a)(6).

The income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until 07/20/2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation. TW

5/23/18 Need amended plan and amended schedule G to include Hillsdale Apts -- 21 day deadline. ** Amended Sch G filed on 06/06/18 ** TW Cont to June to check status of plan payments. No call. TW

6/13/18 Still need amended plan to include Hillsdale Apts -- today (6/13/18) is the 21 day deadline. Trustee's OTC/MTD pending until July. TW

6/18/18 Amended Plan -- payments remain at $360/mo (EP); secured: changed from a 910 to a non-910 debt owed to Auto Now -- to be paid the value of a 2004 Dodge Durango $5,875. >> The Debtor assumes the residential lease Hillsdale Apartments. >> Plan to run 39 months @ $360/mo. Oft: 07/05/18

--- DA inadvertently lists $125.76 under 3.3 of the plan -- the debtor is BMI not AMI. Can we fix this in the confirmation order? _____

Per 6/20 hrg, No Call--con't to July for OFT on amended plan. JR

048 18-40215 Harris ADAM MACK BMI -- current at $200/mo

4/20/18 Trustee's OTC/MTD:

The Plan is not feasible as required by 11 U.S.C. 1325(a)(6).

The income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until 07/20/2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation. TW

4/25/18 Debtor's objection to Trustee's OTC/MTD. The Debtor believes his plan is feasible. The Debtor does not object to the case being continued from docket to docket until July 2018 to prove the case is feasible . TW

5/23/18 Cont to June to check status of plan payments. No call. TW

6/13/18 Cont to July to check payment status. TW

Per 6/20 hrg, No Call--con't to July to check status of plan payments. JR

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Docket # Case # Last Name Attorney049 18-40222 Andrews GARY E HINCK PA

05/09/18 First Amended Plan "un-marks" the "none" box in Section 11 of the plan (page 5) -- Debtor proposes to pay the value of a 2006 Toyota Rav4 to Azura. It was originally marked as "none". All other provisions of the amended plan remain as originally filed.>> Oft: 06/05/18 Hrg: 6/20/18 @ 1:30 F.S. 05/18/18 [29/30] TW

5/23/18 Cont to June for oft on Amended Plan. No call. TW

6/13/18 Confirm as last modified. TW

Per 6/20 hrg, auto confirm. JR

050 18-40228 Sherwood JOHN R HOOGE5/4/18 T'EE OTC & MTD. The plan is not feasible as required by 11 USC 1325(a)(6).

This is an above median income case. the plan does not provide for either full payment of all claims or for all projected disposable income to be applied to payments under the Plan as required by 11 USC 1325(b)(1)(A) and (B).

Plan payments need to increase from $500/mo to $1414/mo in order to pay the 22c pool per the Trustee's calculations.

Debtors Schedule I indicates Mr Sherwood has been employed with Elmer Glue for 9 years and lists gross wages of $2952.32/mo. This amount is $1236.67/mo less than what is listed on 22c. The Trustee requests additional information on how debtors arrived at the gross wages listed on 22c and what caused the decrease in income reported in Schedule I.Line 10 of debtors 22c includes a deduction of $56. The Trustee did not include this deduction as there is no documentation provided to support this deduction. On Line 13, debtors are taking deductions of $970 for free and clear vehicles. The Ransom case provides that debtors cannot take an ownership expense deduction for free and clear vehicles. However, the Trustee would not object to a $200 per vehicle deduction for vehicle replacement costs. The Trustee would not object to $806 vehicle operating expense, but will not agree to the $970 ownership deduction. Line 17, includes a deduction of $191.03. The Trustee did not include this deduction as there has been no documentation provided. Line 35, debtors took a deduction of $1756.20, however, the Trustee used $1276.00 per the priority debt listed in the plan. Line 36, the Trustee used $500 per the plan with the Trustee fee of 10%. The Trustee's calculation shows Monthly Disposable Income of $1251.44 which makes a pool amount of $75,086.40. (PL 20 - 22)

5/16/18 Need amended Sch A/B to list the r.e. which is being surrendered (200 Lincoln Ave, Westphalia KS); Need amended plan to address priority debt owed to Anderson Co Treasurer (listed on Sch E/F). ML

5/23/18 Cont. 6/20 -- 21 DDL to address 22c issues; amend Sch A/B and amend plan. TW

6/13/18 None of the above have been addressed. ML

Per hrg 6/20, con't to July. (21) DDL to file amended plan, address 22c issues & amend Sch A/B. JR

051 18-40229 Brosemer ADAM MACK4/20/18 T'EE OTC & MTD. The income and expenses seem unreasonable low. However, Trustee suggests that this case be continued from docket to docket until July 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation.

Plan payments require an increase from $440/mo to $616/mo as the proof of claim filed by IRS is higher than the amount proposed in the plan. Further, the plan does not propose a Best Interest of Creditors Test on debtors non-exempt property. (PL 29 - 31) ML

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Docket # Case # Last Name Attorney

4/30/18 OBJECTION TO MTD. Debtors believe their plan is feasible. Debtors do not object to the case being continued from docket to docket until July 2018 to prove case is feasible. Debtors have filed an amended plan to address the non exempt assets & this higher amount of tax owed. Debtors have filed an amended Sch J to prove feasibility. (PL 37) ML

5/23/18 Con't to June for payments & for OFT on amended plan to pass. No call. TW

6/13/18 Con't to July for payments. ML

Per 6/20 hrg, No Call--con't to July to check status of plan payments. JR

052 18-40231 Dooley WIECHMAN & GASPER PA5/23/18 Con't to June for OFT on MTD. 21 DDL for amended SOFA, and to provide copies of 2014/15 tax returns to Trustee and to file returns if not already filed. No call. TW

6/13/18 Tax returns have been provided. T'ee MTD has been denied. Still need amended SOFA #5 to include S.S. recv'd by Chris in 2017 & 2018 to date. ML

6/15/18 Amended SOFA filed today. Plan may be confirmed. ML

Per hrg 6/20, confirmed. JR

053 18-40234 Craft, Jr ADAM MACK5/23/18 Cont to June for interrogatories in lieu of appearing at 341. No call. TW

5/24/18 MTD: Need $818.48 thru May. Conduit. (PL 20)

5/29/18 OBJECTION. Debtors will be current before the hrg date. (PL 22)

6/13/18 DQ = $590.89 thru May. Rec'd a copy of "un-notarized" interrogs from DA office. Per DA office, they will send the "notarized" interrogs over as soon as they recv'd them. ML

Per hrg 6/20, con't to July. JR

054 18-40236 Rosenberry GARRETT LAW LLC5/23/18 Cont to June. 21 DDL for info re: 2 certificates of deposit that are being surrendered to KState Federal CU. No call. TW

6/13/18 Ready to confirm. ML

Per 6/20 hrg, auto confirm. JR

055 18-40242 Parks ADAM MACK4/20/18 T'EE OTC & MTD. The income and expenses seem unreasonable low. However, Trustee suggests that this case be continued from docket to docket until July 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation. (PL 21 - 23)

4/24/18 OBJECTION TO MTD. Debtor believes plan is feasible. Debtor does not object to case being continued from docket to docket until July to prove the case is feasible. (PL 25)

5/23/18 Con't to June for payments. No call. TW

6/13/18 Con't to July for payments. ML

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Docket # Case # Last Name AttorneyPer 6/20 hrg, No Call--con't to July to check status of plan payments. JR

056 18-40248 Searcy WIECHMAN & GASPER PA4/5/18 OTC, NEBRASKA FURNITURE MART. Sec'd by property purchased & financed more than one year prior to the Petition being filed. Debtor listed a value which is not listed correctly in para 11.5. The value of the property purchased more than one year prior to the Petition is $2762.82. All other property was purchased less than one year before the Petition & should be addressed in para 11.7 of the Plan. The balance of the property purchases less than one year is $1654.94. The claim is filed as sec'd for $4417.76 & unsec'd for $1559.87. (CA: William Walberg) (PL 17) ML

5/23/18 OTC, FIFTH THIRD BANK. Sec'd by a 2012 Ford Edge. Plan value = $12,825.00; Creditor value = $13,936.00. (CA: Michael Gaughan) (PL 21) ML

5/23 Cont to 6/20 for OTC w/Fifth Third Bank -- A.O. circulating with NFM. TW

6/13/18 NFM OTC resolved by agreed order. Plan payments are going to need to increase, BUT, the T'ee needs to know the value that will be paid to Fifth Third Bank before that payment amount can be determined . ML6/19/18 P/email from DA, Debtor & Fifth Third have agreed on a value of $13,380.00. An agreed order is circulating. Plan payments need to increase from $400/mo to $409/mo. If debtor agrees to the higher payment, the plan can be confirmed w/ the agreed order. ML

Per hrg 6/20, confirmed @ $409/mo w/ Agreed Order. JR

057 18-40261 Ratcliff WIECHMAN & GASPER PABMI

Plan to run 36 months @ $100/mo (E.P.)---Current. JR

---(4/10) Obj to Plan by Daniel Vail Investments, LLC d/b/a RNR TIRE EXPRESS:Debtor entered into a lease on or about 12-9-17. The property subject to the Leases included 4 Nexen tires and 4 Max wheels. The Debtor's last payments on the Leases were made on or about 3-17-18. The leases are "true" leases. The Debtor's Plan treats creditor's interest in the property as a secured claim. The Debtor's Plan cannot be confirmed because it fails to comply with the provisions of Chapter 13 of the Bankruptcy Code (11 U.S.C. Sections 1325(a)(1) and 1322(b)(7) and the Plan was not proposed in good faith and is forbidden by law (11 U .S.C. Section 1325(a)(3)). (PL#12) (CA: Dana Manweiler Milby) JR

---(4/26) Per 341 hrg, Debtor is going to return tires & rims to creditor, R&R Tire Express -- DA to amend plan to surrender and amend schedule G to reject lease. AB

5/23/18 Dana Milby to prepare an A.O. resolving the OTC -- debtor agrees to surrender the wheels & tires to RNR Tire Express. Cont. 6/20. TW

---(6/13) Agreed Order Resolving Obj to Plan and Deeming Lease Agreements Rejected. Per the order, leases w/Daniel Vail Investments LLC / RNR Tire Express are deemed rejected. Debtor shall immediately surrender wheels and tires. If not surrendered within 3 days of order, stay is lifted and creditor may pursue its remedies under state law. Once the leased property is returned, creditor shall amend its proof of claim (POC #5) to reflect the amount of the past due rent accrued thru the date of surrender of the property as an unsecured claim. (PL#20) JR

---(6/13) Okay to confirm as last modified. JR

Per 6/20 hrg, auto confirm. JR

058 18-40263 Brown GARRETT LAW LLCBMI

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Docket # Case # Last Name AttorneyPlan to run 55 months @ $296/mo (E.P.)---Current. JR

---(5/01) Amended Plan: Amended Sec.#8----Priority Claims: increasing the amounts owed IRS to $5,770.55 (2015-2017) and KDOR to $1,647.46 (2015-2017). Amended Sec.#13---Executory Contracts/Leases: now rejecting the storage unit lease with Neighborhood Storage Inc. Amended Sec.#17---Separate Class: the plan will treat the claims of HCCI & Harmon Financial as administrative. All other provisions of the original plan remain the same. Plan will run a total of 55 months. (OFT 5-28) (PL#21/22) JR

---(5/23) Cont to June for OFT to run on amended plan & for DA to: Amend Sch C to remove the 2014 Mustang; Amended I/ J to remove auto insurance, as both schedules include insurance payments; Amend Sch J to remove the $125/mo storage unit expense; and to respond to Trustee's inquiry re 2nd job pay stubs and clarification on household size. 21 DDl for these items. No call. TW

---(5/29) K-STATE FCU's Obj to First Amended Chp 13 Plan: Re: 2005 Chrysler 300 Limited. The full amount owed on the 910 car loan is $2,085.53. K-State Federal Credit Union does not object to the First Amended Plan so as long as its claim is treated as a 910 car loan and the amount owed, as stated in its amended proof of claim, is paid through the Plan. (PL#25) (CA: Aaron R Bailey) JR ****Agreed Order filed 6-14-18, PL#28. JR

>>> Need Amended Schedule C, Schedules I/J & response to inquiry re paystubs & household size. JR

Per hrg 6/20, con't to July. (21) DDL for amended Sch C, amended Sch I/J & to respond to inquiry re paystubs & household size. JR

059 18-40268 Schneider BRENDA J BELLBMI

Plan to run 56 months @ $975/mo (D.P.)---Current. JR

---(5/11) Trustee's OTC/MTD: The income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until August 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation. The Plan fails to pay allowed unsecured claims the amount such claims would receive if the estate of the debtor(s) was liquidated under chapter 7 as of the effective date of the plan as required by 11 U.S.C. 1325(a)(4). Debtor is attempting to claim as a tool of trade a building under KSA 60-2304(e) and that building is not a tool of trade. Therefore, the best interest of creditor's test has not been satisfied. (PL#26-28) JR

---(5/16) KS Bank's Obj to Conf: Re: promissory note, secured by a lien on personal property, in addition to inventory, equipment & general intangibles: 2003 Ford F-150, 2006 Ford Econoline Van, 2005 Chevy Express Cutaway G3500, 2004 Ford F-350, 2007 GMC Sierra & 2013 Nissan. Balance of loan $24,810.21; Plan value $24,500; Creditor value $24,901.79. KSB requests that its claim be paid in full with the appropriate discount rate. (PL#29) (CA: David P Troup) JR ***Order is circulating. T/ee wanted changes (oversecured creditor entitled to contract rate of interest only until confirmation and additional detail in order so that the order stands alone) TLA

>>> Need Amended Sch I & J to show both debtor's personal income & expenses, and his business income & expenses. JR>>> Need Monthly Income & Expenses Reports from debtor. JR>>> Need documentation re: payments made to the Chase accounts for preference payment purposes. JR

5/23 Cont to 6/20. TW

---(5/31) Debtor's Obj to Claim #4 of Credibly: The debtor states this claim should be disallowed as perfected and secured. The claim, even if perfected and secured is grossly overstated. The debtor had a few accounts

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Docket # Case # Last Name Attorneyreceivable at the time of filing and has no equity in his trucks or contracts. This creditor can have no continuing right to claim an interest in A/R beyond the petition date so long as the pre-filing cash collateral is protected and does not decline. If and when creditor can prove who the proper creditor is; how that proper creditorcame to have this secured interest and had authority to file a financing statement and if creditor can prove that the debtor indeed authenticated these documents and if creditor can't that the claim be disallowed in full, but if creditor can show a secured interest that is properly perfected then the claim be valued as the equity in the assets subject of the security interest and paid in the plan without interest. (OFT 6-20) HRG 7/9 F.S. 05/30/18 (PL#41) JR

Per hrg 6/20, con't to July. JR

060 18-40269 Price JOSEPH I WITTMANBMI

Plan to run 36 months @ $100/mo (E.P.)---DQ = $15.40 thru May. JR

---(4/30) Rec'd copy of letter that IRS sent debtor: No Federal Returns for 2012-2017, no 940 & 944 Returns for 2017 & 2018. JR

---(4/30) Trustee's OTC/MTD: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until July 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current . If so, at that time, the Trustee will likely recommend confirmation. (PL#18-20) JR

---(5/07) Debtor's obj to MTD & response to Obj to Confirmation: The debtor is able to make the payments under the plan, as proposed. The payments are employer w/holding so as long as the debtor is employed there should be no problem with payments. Trustee has rec'd the first employer payment. Debtor has no problem with continuing the confirmation to a later date, but the reasons given by the trustee do no comply with any set forth in the Code as to why a plan should not be confirmed. If the payments are not made, then the case could be dismissed. But at this time the debtor has complied with all duties required under Chapter 13. (PL#21) JR

>>> Per 341 hrg, DA to file tax affidavit for missing years. JR

5/23/18 Cont to June to check status of plan payments. 21 DDL to file affidavit re: missing tax returns. No call. TW

Per hrg 6/20, confirmed. JR

061 18-40273 Gillenwater GARY E HINCK PABMI

Plan to run 58 months @ $95/mo (D.P.)---Current. JR

---(4/30) Trustee's OTC/MTD: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until July 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current . If so, at that time, the Trustee will likely recommend confirmation. (PL#17-19) JR

---(5/23) Cont to June for check status of plan payments. No call. TW

---(6/13) No Call -- Con't to July for status of plan payments. JR

Per 6/20 hrg, No Call--con't to July to check status of plan payments. JR

062 18-40274 Lutze JOHN R HOOGE>>>>> AMI, w/ pool $63,171 (per plan); Trustee pool $76,230 <<<<

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Docket # Case # Last Name Attorney

Plan to run 60 months @ $1,481/mo (plan proposes payments of $1,130/mo) (E.P.)---DQ = $565 thru May. JR

---(5/11) Trustee's OTC/MTD: Lack of feasibility, as plan payments need to increase to approximately $1,481/mo due to the results of the Trustee's 22c means test calculation, which results in an unsecured pool of $76,230. The Trustee does not agree with line #13 of the debtors' 22c, Vehicle Ownership and Leasing cost; which is taking the $485 standard deduction for what appears to be a free and clear vehicle . The Plan fails to address the direct loan payment for a 2012 Chevrolet Sonic. The Plan fails to reflect the direct payment of fees in the amount of $400, as provided for in the Disclosure of Compensation. The plan does not properly indicate in Section 1 that the plan includes a limit on the amount of a secured claim which may result in partial payment or no payment at all to the secured creditor. (PL#19-21) JR

>>> The bar date passes on 6/1. After all claims are filed, need to see if this will be 100% plan. If so, then the Trustee's OTC/MTD is resolved reserving the 22c issues in the confirmation order. JR>>> Need itemization for values of each gun & the camping/sports equipment. No preferences. JR

---(5/23) Cont to June for bar date to pass to re-check feasibility, for amended plan & for gun & camping/equipment value itemization. 21 DDL for same. No call. TW

---(6/05) Feas. Review: Bar date was 6-1-18. Plan will pay gu's 100% with plan payments as proposed, $1,130/mo, with the plan running 60 months. This calc pays DA $3,300 + $300 closing fee, although the compensation disclosure indicates DA was paid $400 direct. This calc pays Ally Bank (2012 Chevy Sonic) in full, $4,215.12 + disc rate, despite the 341 notes indicating that DA would either amend the plan to pay the cramdown value ($4,049), OR, amend the plan to pay this loan direct (as Sch J incudes a direct payment of $290/mo). JR

Per hrg 6/20, amended plan filed. Con't to July for Trustee to review amended plan & for OFT (7-10) to run. JR

063 18-40277 Rae BRENDA J BELLNot ready to confirm.

5-11-18 TEE OTC/ MTD. The Plan does not meet the requirements of 11 USC 1325(b)(1)(B) and (2) in that Schedules I and J show excess disposable income. ---- Schedules I and J show Debtor has excess disposable income of $914.44 a month. AB PL #20/21/22

5/23 Cont to 6/20. TW

6-13-18 Tee OTC/MTD needs to be addressed. AB

6-20-18 P/E from DA office. Would like to continue amother month to get issues resolved. They are working on averaging out Mr Rae's budget and income. AB

Per hrg 6/20, con't to July. JR

064 18-40278 Rankin KRISTINA ZHILKINA-CRUMP4-30-18 TEE MTD. Default in plan payments. Debtor is required to make his first plan payment to the Chapter 13 Trustee within 30 days of the filing of the case pursuant to 11 USC 1326. This payment was not made as required. OBJ 5/21 HRG 6/20 (PL 16/17)

5-17-18 DEBTORS OBJECTION TO TEE MTD. Pymts commenced May 4, 2018. FS 5-16-18 AB PL #26

5-15-18 FIRST AMENDED PLAN. OBJ 6-4-18 HRG 6-20-18 FS 5-7-18 AB PL #23/24>>> Need to cont to June for obj deadline of on amended plan, and Tee MTD.

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Docket # Case # Last Name Attorney5/23/18 Cont to June for OFT on Amended Plan, and Trustee MTD. No call. TW

6-1-18 Tee OTC/ MTD. Plan payments need to increase to $149/mo starting June 2018 to remain feasible to complete in 60 months. This is due to the IRS proof of claim #1, which includes estimated priority amounts for 2014 thru 2017, totaling $4,611.25 and estimated general unsecured amounts for 2012 and 2013, totaling $1,879.41. The budget does not support the higher plan payment. AB PL #36/37/38 .

6-13-18 Order circulating on MTA. Abates all payments due and not yet paid through April 30, 2018 w/ payments to resume by the last day of the month fillowing the end of the abatement or case may be dismissed . Tee OTC/MTD needs to be addressed. AB

6-15-18 IRS has amended their claim - and case is now feasible at the $80/mo - plan payments no longer need to increase. Tee has withdrawn the OTC/MTD (#36/37) and MTD (#16). Plan is ready to confirm as last modified. AB

Per hrg 6/20, confirmed as last modified. JR

065 18-40281 Muhammad GARRETT LAW LLCNot ready to confirm

5-16-18 Per plan - debtor has not filed returns form 2014 - 2017, but they have been prepared. - Have only recvd the 2016 and 2017 returns. Debtors need to remit $899 from 2017 tax refund. What is the status on the 2014 and 2015 returns? AB

5/23 Cont to 6/20 -- 21 DDL for debtor to provide Trustee copies of the 2014 & 2015 returns & remit $899 from the 2017 refund. TW

6/7/18 Debtor has provided the 2014 and 2015 returns, and they have been reviewed. What is the status on debtor remitting the $899 from the 2017 tax refund? AB

6-19-18 P/E FROM DA OFFICE. They have talked with the IRS today regarding Ms. Muhammad's 2017 refund. It has all been applied to her 2015 tax debt. The amended claim should be on Pacer tomorrow. 2017 will show a $0 balance and the 2015 balance will be reduced to reflect the transfer of the 2017 refund . >>> NEED TO WAIT FOR THE AMENDED CLAIM TO BE FILED TO SHOW 2015 HAS BEEN REDUCED BY THE 2017 TAX REFUND. AB

Per hrg 6/20, con't to July for amended claim. JR

066 18-40282 Helsel GARRETT LAW LLC>>> Reserve pool issue in confirmation order in case plan changes from paying 100%.

5-16-18 Need amended plan to address 2017 Jeep Renegade being paid direct. Need to amend schedule G to assume agreement with debtors mother re: 2017 Jeep Renegade

5/23/18 Cont to June for bar date of 6-5-18 has passed to check feasibility as paying 100%. Debtors have a 21 DDL to amend the plan (to pay 2017 Jeep direct) and amend Sch G (to assume agreement with debtors mother re: 2017 Jeep). No call. TW

6-12-18 First Amended Plan. Addresses the 2017 Jeep that is being paid direct. Case remains feasible paying 100% at the proposed plan payment of $2,600/mo. OBJ 7-9-18 HRG 7-18-18 FS 6-11-18 AB PL #22/23>>> Need to cont to July for objection deadline on amended plan. Debtors have 21 days to amend schedule G to assume agreement with debtors mother re: the 2017 Jeep.

Per 6/20 hrg, No Call--con't to July for OFT on amended plan. 21 DDL to amend Schedule G to assume

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Docket # Case # Last Name Attorneyagreement w/ mother re 2017 Jeep. JR

067 18-40283 Tilley GARRETT LAW LLCNot ready to confirm

5-16-18 Per 341, need 2011 - 2013 returns. If not recvd by 5-17-18, Tee to file MTD for failure to provide. AB>>> Per DA - debtor has a LLC tax issue that being worked on-- need to cont to June.

5/23/18 Cont to June for tax issues to be resolved and possible MTD by Trustee. 21 DDL for 2011 -13 returns. No call. TW

5/21/18: MTD: Failure to provide 2011-2013 returns. Doc. 19.

6/11/18: Debtor's Obj to MTD: Debtor is working with tax preparer to get these returns prepared.

6-12-18 OBJECTION TO TEE MTD. Debtor is working with Tammy Harmon, Harmon Financial and Tax Services, LLC, to complete the missing tax returns for 2011, 2012 and 2013. FS 6-11-18 AB PL #22

6/12/18: Motion to extend deadline. At 5/30 hearing, debtor given 21 days to file and provide 2011-2013 tax returns. Debtor is working with Tammy Harmon to complete this task. This involves a former LLC - Debtor just obtained the documents needed and they are working to get these filed. Requests extension to 7/11/18. T/ee does not object. TLA FS 6-11-18 AB PL #23

6/12/18: Pymts are current. Debtor working on the missing LLC returns for 2011-13. Returns to be filed and copy to T/ee by 7/11/18. Continue to 7/18. TLA

Per 6/20 hrg, No Call--con't to July per Mtn to extend deadline for missing LLC returns, 2011-2013. JR

068 18-40284 Doucet CHRIS W STEFFENS 4-30-18 TEE MTD. Default in plan payments. Debtor is required to make her first plan payment to the Chapter 13 Trustee within 30 days of the filing of the case pursuant to 11 USC 1326. This payment was not made as required. OBJ 5/21 HRG 6/20 (PL24/25)

5-10-18 OBJECTION TO T'EE MTD. Debtor will make a pymt and be current as soon as possible. Debtor will by the time of the hearing on this matter, either be current, or will file pleadings which will abate missed pymts and cure the issue raised in the Tee MTD. FS 5-9-18 AB PL #26

5-23-18 Con to June for Trustee MTD. 21 DDL to amend SOFA #4 to list income for 2018. No call. TW

6-13-18 MTD has been denied as debtor has made the first pymt. Showing DQ $90 for May 2018. Amended SOFA has been filed. AB

Per hrg 6/20, con't to July to get current with plan payments. JR

069 18-40286 Lefebvre CHRIS W STEFFENS4-30-18 TEE MTD. Default in plan payments. Debtor is required to make her first plan payment to the Chapter 13 Trustee within 30 days of the filing of the case pursuant to 11 USC 1326. This payment was not made as required. OBJ 5/21 HRG 6/20 (PL 21/22)

5-2-18 DEBTORS OBJECTION TO TEE MTD. IWO is now in effect. Debtor will be current on arrears by May 21, 2018. Debtor will by the time of the hearing on this matter, either be current, or will file pleadings which will abate missed pymts and cure the issue raised in the Tee MTD. FS 5-1-18 ABPL #23

5-23-18 Cont to June for Tee MTD. No call. TW

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Docket # Case # Last Name Attorney6-13-18 Debtor is current thru May 2018. Deny MTD. Plan ready to confirm. AB

Per 6/20 hrg, auto confirm. JR

070 18-40288 Goins A MARK STREMEL5-9-18 Need to cont for OFT on TEE MTD. Amended plan has been filed. AB

5/23/18 Cont to June for Trustee MTD. Do not confirm until after the bar date of 6-6-18, to check feasibility as paying 100%. No call. TW

6-13-18 Plan pymts need to increase from $975/mo, to $1,073/mo starting July 2018, to complete in 60 months paying 100%. -- Increase letter has been sent to DA and Debtor. AB

6-18-18 P/E from DA -- debtor agrees to increase plan pymts to $1,073/mo. Plan ready to confirm as last modified at $1,073/mo.>>> Reserve pool issue in confirmation order in case changes from paying 100%.

071 18-40290 Winright ADAM MACK5-11-18 TEE MTD. $700/MAY. OBJ 6/1 HRG 6/20 (PL23/24)

5-15-18 DEBTORS OBJECTION TO TEE MTD. Debtors will be current before the hearing date. FS 5-14-18 AB PL #25

5-23-18 Cont to June for TEE MTD. No call. TW

6-13-18 Debtor is current for May. Debtors need to make sure plan pymts are recvd by the 15th of each month as this is a conduit case. MTD can be denied. AB

6/14/18: NOT ready to confirm. Debtor lists a contract for deed in Sec. 10.2 (Maintenance of payments and cure of default, if any) (where conduit payments would be listed). Then has an NSP that provides for the debt to be paid in full (with monthly payments at half of the monthly contractual payment). However, the NSP is silent as to interest being paid. The debt should have been listed in Sec. 10.4 (Real Estate claims to be paid in full during the life of the plan), which provides for the trustee's discount rate of interest . TLA

Per hrg 6/20, (7) DDL to file amended plan. Con't to July. JR

072 18-40293 Plakio GARRETT LAW LLCNot ready to confirm

5-4-18 TEE OTC/ MTD. Section 11.5 language regarding Speedy Cash is not clear. Speedy Cash is not put on notice that debtor intends to pay $0.00 on secured claim. HRG 5-23-18 AB PL #17/18/19

5/23 Cont 6/20 for Amended Plan. TW

6-13-18 No Amended plan filed at this time. AB

6-18-18 Amended Plan. OBJ 7-13-18 HRG 8-29-18 FS 6-15-18 AB PL #23/24>>> Need to continue to July for objection deadline on amended plan.

Per hrg 6/20, con't to July. JR

073 18-40300 Leesman CHRIS W STEFFENS BMI -- current at $100/mo

4/27/18 Trustee's OTC/MTD for LOF: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until July, 2018

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Docket # Case # Last Name Attorneyto determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation. TW

5/23/18 Cont to June to check status of plan payments. No Call. TW

6/13/18 Cont to July to check payment status. TW

Per 6/20 hrg, No Call--con't to July to check status of plan payments. JR

074 18-40301 Hunsperger ADAM MACKAMI -- current @ 165/mo.

05/02/18 First amended plan to add the secured claim filed by Sheffield Financial in the amount of $3 ,089.73 for a 2016 Gravely lawn mower. Debtors will pay Sheffield Financial direct. All other provisions of the plan remain as originally filed. Oft: 5/29/18 TW

5/23/18 Cont to June for oft on Amended Plan. No call. TW

6/13/18 Confirm as last modified. TW

Per 6/20 hrg, auto confirm. JR

075 18-40304 Wilson ADAM MACK BMI - current at $100/mo

05/11/18 Trustee's OTC/MTD for LOF: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until August, 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation. TW

05/15/18 Debtor's objection to MTD. The Debtor believes her plan is feasible. The Debtor does not object to the case being continued from docket to docket until August 2018 to prove the case is feasible . TW

5/23/18 Cont to June to check status of plan payments. No call. TW

6/13/18 Cont to July to check payment status. TW

Per 6/20 hrg, No Call--con't to July to check status of plan payments. JR

076 18-40311 Bedford ADAM MACK AMI

5/23/18 Cont to June for claims bar date to pass & check status of plan payments. No call. TW

06/08/18 MTA through 5/31/18. Debtor was unaware the plan payments were not being deducted from her check for the first month. Payments are now being deducted regularly, but debtor cannot make up the past due amount with her living expenses. Payments have resumed. This is a 100% plan. -- Oft: 6/27/18 TW

6/13/18 Cont to July for oft on MTA. TW

Note: once the plan is ready to confirm, need to reserve in confirmation order:

The amount identified in Section 3.3 as $1,088.27 is the debtor's monthly disposable income per the 22c. The resultant disposable income ("pool"), per the Debtor's calculation is $65,296.20. The Trustee reserves any 22c

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Docket # Case # Last Name Attorneyissues that may exist to be addressed in the event that the plan is ever amended to pay less than 100%. TW

Per 6/20 hrg, No Call--con't to July for OFT on MTA. JR

077 18-40313 Hussey GARRETT LAW LLC BMI -- current at $100/mo

4/27/18 Trustee's OTC/MTD for LOF: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until July, 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation. TW 5/23/18 Cont to June to check status of plan payments. No call. TW

6/13/18 Cont to July to check payment status. TW

Per 6/20 hrg, No Call--con't to July to check status of plan payments. JR

078 18-40314 Buchmeier TOM R BARNES IIAMI at $600/mo

5/23/18 Cont to June for DA to amended Plan re: Section 1: neither box is checked. Section 3: 3.1 -- Debtors are AMI; D.A. checked the BMI box. 3.3 -- result of 22c should state -$132.72. Also need to amend to address Section 6 - DA checked the wrong box - debtors HAVE filed all tax returns. 21 day deadline. No call. TW

6/13/18 Amended plan has not been filed. TW

Per hrg 6/20, con't to July. (10) DDL to file amended plan. JR

079 18-40316 LaPreze JOHN R HOOGEBMI at $220/mo

5/23/18 Cont to June for DA to amend plan to address Section #1 of the plan as it indicates that there is "no" cram down in Sec. #10 or #11, but the plan provides cram down for a vehicle and NFM. Also needs to amend plan to address Section #18 - NSP re 11.5 says secured debts to be paid pro rata w/ atty fees "and" priority. 21 day deadline. No call. TW

6/13/18 Amended plan has not been filed. TW

6/20/18 Amended plan filed to address Section #1 and NSP. Oft: 07/06/18 TW

Per hrg 6/20, con't to July for OFT to run. JR

080 18-40317 Rea, III GARRETT LAW LLC BMI -- current at $80/mo

4/27/18 Trustee's OTC/MTD for LOF: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until July, 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation. TW 5/23 Cont 6/20 for payment status. TW

6/13/18 Cont to July to check payment status. TW

6/18/18 This case is continued to July to check payment status. However, due to the IRS and KDOR claim, plan

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Docket # Case # Last Name Attorneypayments are not feasible at $80/mo. Plan payments need to increase from $80/mo to $127/mo. Debtor's budget supports his ability to increase plan payments. Advised DA this date as to why the plan payments need to increase. TW

Per 6/20 hrg, No Call--con't to July to check status of plan payments. JR

081 18-40319 Platt JOHN R HOOGEAMI -- current at $1,060/mo

5/23/18 Cont to June for DA to amend plan to address Section #1 of the plan as it indicates that there is "no" cram down in Sec. #10 or #11, but the plan provides cram down for a vehicle and NFM. Also needs to amend plan to address Section #18 - NSP re 11.5 says secured debts to be paid pro rata w/ atty fees "and" priority. 21 day deadline. No call. TW

6/13/18 An amended plan has not been filed. TW

Per hrg 6/20, Con't to July. (7) DDL to file the amended plan. JR

082 18-40320 Farhath CHRIS COONS BMI -- current at $80/mo

4/27/18 Trustee's OTC/MTD for LOF: The plan is not feasible, as the income and expenses shown seem unreasonably low. However, Trustee suggests that this case be continued from docket to docket until July, 2018 to determine if the debtor is, in spite of the Trustee's concerns, able to make plan payments and keep expenses paid current. If so, at that time, the Trustee will likely recommend confirmation. TW

5/23/18 Cont to June to check status of plan payments. No call. TW

6/13/18 Cont to July to check payment status. TW

Per 6/20 hrg, No Call--con't to July to check status of plan payments. JR

083 18-40321 Sutherland CHRIS W STEFFENSBMI -- current at $1,055/mo

05/23/18 Cont to June for Trustee MTD - failure to provide 2015 tax returns. 21-DDL for 2015 returns. No call. TW

6/13/18 The 2015 returns have been provided. Plan may be confirmed. TW

Per 6/20 hrg, auto confirm. JR

084 18-40323 Smith BRENDA J BELL5/23/18 Cont to June for 341 to be held and concluded. No call. TW

6/13/18 Plan is ready to confirm; 341 was held & concluded. TW

Per 6/20 hrg, auto confirm. JR