In re: Amro M. Samy and Darla G. Samy

CourtUnited States Bankruptcy Court, D. Kansas
DecidedOctober 27, 2025
Docket24-11169
StatusUnknown

This text of In re: Amro M. Samy and Darla G. Samy (In re: Amro M. Samy and Darla G. Samy) is published on Counsel Stack Legal Research, covering United States Bankruptcy Court, D. Kansas primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
In re: Amro M. Samy and Darla G. Samy, (Kan. 2025).

Opinion

re pankry™ Sr & a □ 1a De □ SO ORDERED. \y Sar ARS □□ SIGNED this 27th day of October, 2025. a. vee aS a □ Ge □ District ay

° | Mitchell L. Herren United States Bankruptcy Judge

DESIGNATED FOR ONLINE PUBLICATION IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF KANSAS

IN RE: AMRO M. SAMY Case No. 24-11169 DARLA G. SAMY, Chapter 11 Debtors. Memorandum Opinion and Order Overruling Objection to Exemptions in Part Creditors of Debtors Amro and Darla Samy object to the exemption of a vehicle, jewelry, and four life insurance policies from Debtors’ Chapter 11 bankruptcy estate. Because each of these exemptions falls within the contours of the applicable Kansas exemption statute, the Court overrules the objection to those exemptions.! However, a $60,000 postpetition policy loan is not exempt under Kan.

1 Debtors appear by their attorney David Prelle Eron of Prelle Eron & Bailey, PA. Creditors Cairo of Western Kansas, LLC and Debt Recovery Services, Inc. appear through their

Stat. Ann. § 40-414, so the objection to any claim of exemption to that $60,000 is granted. The Court therefore overrules in part the objection to exemptions.2 I. Procedural History

Debtors filed a Chapter 11 bankruptcy petition on November 14, 2024, and their Schedule C3 claimed an exemption in the following items of personal property:  2018 BMW M6, with an estimated value of $52,000, exempted under Kan. Stat. Ann. § 60-2304(c);

 Amro Samy’s “wedding ring, watch[es],4 costume jewelry,” with an estimated value of $15,000, exempted under Kan. Stat. Ann. § 60-2304(b);

 Darla Samy’s “wedding ring, watch, costume jewelry,” with an estimated value of $25,000, exempted under Kan. Stat. Ann. § 60-2304(b).5

Additional exemptions were then claimed in several “Prudential Life Insurance” policies, but account numbers were not given, and for two of the three policies listed, no values were known.6

attorneys Eric Lomas of Klenda Austerman LLC, Benjamin Jackson of Jackson Legal Group, LLC, and R. Joseph Naus, of Wiener, Weiss & Madison, APC. 2 Doc. 126 (Objection to Property Claimed by the Debtors as Exempt and Incorporated Memorandum), Doc. 218 (Amended and Restated Objection to Property Claimed by the Debtors as Exempt and Incorporated Memorandum). 3 Doc. 66. Debtors filed their Chapter 11 bankruptcy petition as a quick file, without supporting Schedules or their Statement of Financial Affairs. About a month after the initial petition was filed, Debtors filed their Schedules, Statement of Financial Affairs, and related documents. 4 Debtors’ Schedule C contains a typo by exempting “watche [sic],” and as result, it is unclear if Debtors intended to type the singular “watch” or multiple “watches.” Id. p. 12. 5 Id. p. 12-13. 6 Id. p. 13 (claiming exemption in (1) a Prudential Life Insurance Policy (whole life) Cash Value Beneficiary: Amro Samy, valued at $151,627.36, exempted under Kan. Stat. Ann. § 40-414, § 60-2313(a)(7), and § 40-258; (2) a Prudential Life Insurance Policy (Whole) Cash Value Beneficiary: Darla Samy, with an unknown value, exempted under Kan. Stat. Ann. § 40-414, § 60-2313(a)(7), and § 40-258; and (3) Prudential Life Insurance Policy (Whole) Cash Value Beneficiary: Darla Samy, with an unknown value, exempted under Kan. Stat. Ann. § 40-414, § 60-2313(a)(7), and § 40-258)). Amended Schedules were filed on January 23, 2025. The Schedule A/B identified the following life insurance policies:  Prudential Life Insurance Policies and Surrender/Refund Cash Values XXX802, beneficiary Darla Samy, value of $25,173;

 Prudential Life Insurance Policies and Surrender/Refund Cash Values XXX502, beneficiary Darla Samy, value of $473,583;

 Prudential Life Insurance Policies and Surrender/Refund Cash Values XXX520, beneficiary Darla Samy, value of $254,808; and

 Prudential Life Insurance Policies and Surrender/Refund Cash Values XXX591, beneficiary Darla Samy, value of $128,110.7

A new Schedule C was not filed, however. Related creditors Cairo of Western Kansas, LLC and Debt Recovery Services, Inc. (hereinafter referred to as “Cairo”) objected to the claimed exemption of the 2018 BMW M6, both Debtors’ jewelry, and all life insurance policies. Debtors next filed amended Schedules on May 15, 2025. Regarding Debtors’ life insurance, the Amended Schedule C gave additional detail about Debtors’ claimed exemptions:  Prudential Life Insurance Whole Life Policy XXX802; Issued 8/9/20; Owner: Amro Samy; Beneficiary: Darla Samy; Death Benefit: $250,000 (plus contract fund value of $129,682.71 on 3/13/25); Surrender Value - $123,224.33 on 3/13/25.

 Prudential Life Insurance Whole Life Policy XXX502; Issued 8/21/20; Owner: Amro Samy; Beneficiary: Darla Samy; Death Benefit: $1,500,000 (plus contract fund value of $496,049.93 on 3/13/25); Surrender Value - $397,828.33 on 3/13/25.

 Prudential Life Insurance Whole Life Policy XXX520; Issued 8/15/20; Owner: Amro Samy; Beneficiary: Darla Samy; Death Benefit: $500,000 (plus contract

7 Doc. 92 p. 12. fund value of $258,594.48 on 3/13/25); Surrender Value - $245,793.23 on 3/13/25.

 Prudential Life Insurance Whole Life Policy XXX591; Issued 8/18/20; Owner: Amro Samy; Beneficiary: Darla Samy; Death Benefit: $250,000 (plus contract fund value of $130,006.48 on 3/13/25); Surrender Value - $123,548.10 on 3/13/25.8

All these were claimed exempt “100% of Value.” Cairo then filed an amended, expanded objection.9 Prior to the evidentiary hearing Cairo filed a Trial Brief, narrowing the disputes to the exemptions addressed above.10 II. Findings of Fact A. Jewelry Cairo’s objection to the exemption of Debtors’ jewelry argued the value of the jewelry exceeded what is permissible for such exemptions under the Kansas statute. At the start of the evidentiary hearing, both parties agreed Debtors’ exemption of jewelry is limited to $1000 per Debtor, per Kan. Stat. Ann. § 60-2304(b).11 As a result, the Court will not address this exemption further. B. The 2018 BMW Debtors live in Garden City, Kansas. At their Garden City home, they have a 2024 Tahoe, which they leased in January 2024, and a 2024 Denali, which was

8 Doc. 189 p. 4. 9 Doc. 218. In this amended objection, Cairo also objected to the exemption of certain retirement accounts, but because those exemptions are no longer at issue, the Court does not address them. 10 Doc. 313. Cairo’s Trial Brief limited the objection from all life insurance policies to the four life insurance policies detailed herein. 11 Per Kan. Stat. Ann. § 60-2304(b), “Ornaments of the debtor’s person, including jewelry, having a value of not to exceed $1,000” are exempt. purchased in 2024 by an entity called S&D Hospitality LLC, in which Debtors are the only members. Debtors also own a home in Manhattan, Kansas. The Manhattan home is not

their permanent residence and is not claimed exempt as Debtors’ homestead. Mr. Samy testified that years ago he and Ms. Samy used the 2018 BMW often at their home in Garden City.

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