In Re Brokenbrough

197 B.R. 839, 1996 Bankr. LEXIS 804, 1996 WL 384474
CourtUnited States Bankruptcy Court, S.D. Ohio
DecidedJune 6, 1996
DocketBankruptcy 95-32579
StatusPublished
Cited by16 cases

This text of 197 B.R. 839 (In Re Brokenbrough) is published on Counsel Stack Legal Research, covering United States Bankruptcy Court, S.D. Ohio primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
In Re Brokenbrough, 197 B.R. 839, 1996 Bankr. LEXIS 804, 1996 WL 384474 (Ohio 1996).

Opinion

DECISION AND ORDER ON U.S. TRUSTEE’S MOTION UNDER 11 U.S.C. § 110 (DOC. # 22)

WILLIAM A. CLARK, Chief Judge.

This matter is before the court upon the motion of the U.S. Trustee for a finding of various violations of 11 U.S.C. § 110 by Eugene White and Lancaster Bankruptcy Center (aka Legal Aid Services) as well as the imposition of penalties under the provisions of that section of the Bankruptcy Code. The court has jurisdiction pursuant to 28 U.S.C. § 1334 and the standing order of reference entered in this district. This matter is a core proceeding under 28 U.S.C. § 157(b)(2)(A) and (0).

FINDINGS OF FACTS

This matter came on for hearing on March 29, 1996, and the following findings of facts are made:

1. On August 1, 1995, Eula M. Broken-brough (“debtor”) filed a Voluntary Petition under chapter 7 of the U.S. Bankruptcy Code.

2. The Voluntary Petition, Schedules, Statement of Financial Affairs and other relevant bankruptcy papers filed with this court on August 1,1995, were prepared by Eugene White and Lancaster Bankruptcy Center/LAS (Debtor’s Testimony and Hearing Exh. 5).

3. The Certification and Signature of Non-Attorney Bankruptcy Petition Preparer form contains the following information: Lancaster Bankruptcy Center, Eugene White, Social Security account number 622-26-9715, Tax ID number 95-4531804, located at 641 West Avenue, J, suite 153, Lancaster, CA 93534, with a signature of one Eugene White, dated 7-27-95 (Hearing Exh. 5).

4. LAS held itself out in the Dayton, Ohio, area as being in the business of preparing legal paperwork in various legal matters, including bankruptcy. The Dayton Area Yellow Pages contains an advertisement for “Legal Aid Services” with a phone number of 1-800-222-2428 (Hearing Exh. 8).

5. Dayton area phone calls for LAS placed at the 1-800-222-2428 number were answered in California. It was the practice of LAS to hire a local agent to rent temporary office space in the Dayton ai-ea and meet with Dayton area customers.

6. LAS also placed listings in the Dayton area Business White Pages and the Dayton area Yellow Pages under the name “Legal Aid Servs” [sic] with a local number of 222-2428 (hearing Exhs. 7 & 8).

7. Lancaster/LAS are based in Lancaster, California, and received mail at 2331-D2 E. Ave. S, Ste. 264, Palmdale CA 93550, and at 641 West J, # 153, Lancaster CA 93534.

8. Eugene White, is an employee, agent and/or principal of Lancaster/LAS (Hearing Exh. 5).

9. Mr. White and LAS are not attorneys licensed to practice law within the State of Ohio, nor are they admitted to practice before any United States District Court in Ohio (Hearing Exh. 5).

10. Prior to the filing of the instant case, LAS, its principals, and any one acting in concert with them were enjoined from preparing bankruptcy petitions and/or acting as bankruptcy petition preparers anywhere in the United States of America for violations of section 110 of the Bankruptcy Code. See Ross v. Smith (In re Gavin), 184 B.R. 670 (E.D.Pa.1995) and 181 B.R. 814 (Bankr.E.D.Pa.1995); In re Hernandez, unreported, Case No. 95-51477-RBK (W.D.Texas, San Antonio Division, June 14, 1995); and In re Lackey, unreported, Case No. 95-10453FM (W.D.Texas, Austin Division, May 19, 1995).

11. On or about April 1995, debtor’s daughter telephoned LAS for information as to whether bankruptcy would resolve the debtor’s financial problems. Due to the similarity in names, the debtor and her daughter believed they were contacting the Legal Aid Society of Dayton. Legal Aid Society receives funds from-the Legal Services Corporation pursuant to federal law as well as from other funding sources to provide legal services to the indigent in Montgomery County, Ohio.

*842 12. An unidentified employee of LAS, in the Lancaster California office, scheduled an appointment for the debtor to meet Ms. Go-hagan, an agent of LAS, at an office temporarily rented at 4027 Colonel Glenn Highway, near Dayton, Ohio. The debtor was told to bring her financial records and a list of creditors to the meeting and that the bankruptcy would cost her $ 150.

13. The debtor met with Ms. Gohagan on April 25,1995, at the Colonel Glenn Highway location and provided Ms. Gohagan with information and documents concerning her assets, debts and finances. The debtor inquired and was advised at this meeting that she would be represented by legal counsel during the bankruptcy proceeding, and that the bankruptcy proceeding would not result in the loss of her home. The debtor had no knowledge regarding which of the various chapters of the Bankruptcy Code provides the relief she sought, nor did she have an understanding of the statutory exemptions available to her, how to classify claims, or knowledge of legal terminology.

14. The debtor emphasized that she did not wish to lose her home, and Ms. Gohagan reassured her that she would not lose her home.

15. The debtor paid $ 150 cash to Ms. Gohagan and signed an agreement for the preparation of a chapter 7 bankruptcy petition by LAS (Hearing Exh. 4).

16. On or about August 1, 1995, more than three months after the meeting, the debtor received copies of a chapter 7 Bankruptcy Petition, Schedules, Statement of Financial Affairs, and other papers prepared by Eugene White and Lancaster Bankruptcy Center/LAS.

17. The debtor never met or spoke to Eugene White.

18. Shortly after her receipt of the bankruptcy papers from LAS, the debtor called the LAS office in California and inquired about meeting her attorney and how to file the bankruptcy documents. An employee, who failed to identify herself when asked to do so by the debtor, assured the debtor she would be represented by counsel and instructed the debtor to take the bankruptcy documents to the bankruptcy court. LAS never provided the debtor with an attorney.

19. The debtor did not realize that she had made a mistake in thinking that LAS was Legal Aid Society of Dayton, Inc., until her chapter 7 first meeting of creditors was held in October, 1995, pursuant to 11 U.S.C. § 341.

20. The only papers signed by Eugene White, as the bankruptcy petition preparer, with his name and address printed thereon were the “Certification and Signature of Non-Attorney Bankruptcy Petition Preparer” document, which contains the signature “Eugene White” and is dated July 27, 1995 (Hearing Exh. 5), and the “Declaration of Bankruptcy Petition Preparer” document (Hearing Exh. 5). The petition, the numerous schedules, the Statement of Financial Affairs, and other bankruptcy papers prepared by Mr. White and LAS — and later filed with this court by the debtor — were not signed by Mr. White and/or LAS.

21.

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Cite This Page — Counsel Stack

Bluebook (online)
197 B.R. 839, 1996 Bankr. LEXIS 804, 1996 WL 384474, Counsel Stack Legal Research, https://law.counselstack.com/opinion/in-re-brokenbrough-ohsb-1996.