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UNITED STATES BANKRUPTCY COURT MIDDLE DISTRICT OF FLORIDA ORLANDO DIVISION In re: Case No: 6:12-bk- , Debtor(s). / MOTION FOR REFERRAL TO MORTGAGE MODIFICATION MEDIATION The Debtor requests entry of an order referring the Debtor and whose mortgage lien encumbers Debtor’s primary residence, to mortgage modification mediation, and in support state: 1. The Debtor filed this Chapter 13 case in an attempt to retain their primary residence. 2. The Debtor would like to modify the terms of the mortgage encumbering their primary residence. The Debtors’ income will allow them to contribute as much as 31 percent of their current gross income to payment of their modified mortgage debt. 3. Mediation pursuant to Local Rule 9019-2 will assist the parties in negotiation of a modification of the relevant mortgage. 4. Debtor will pay the $350.00 mediation cost to the Chapter 13 Trustee prior to attending any scheduled mediation. Wherefore, Debtors request the entry of an order referring this case to mediation and for such other and further relief as this Court deems just and proper. A true and correct copy of the foregoing has been sent by either electronic transmission on the day of , 2012 to: Laurie K. Weatherford, Trustee, PO Box 3450, Winter Park, FL 32790; Debtor; and to Wayne Spivak, Esquire, a/f BAC Home Loans, Albertelli Law, 1234 Main Street, City, State, 12345; and to BAC Home Loans Servicing LP, Attn. Lawrence J. Buckley, as Creditors’ Authorized Agent, 400 National Way, Mail Stop CA6- 919-01-23. /s/ Robert B. Branson Law Office of Robert B. Branson 1501 East Concord Street

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Page 1: ORLANDO DIVISION

UNITED STATES BANKRUPTCY COURT MIDDLE DISTRICT OF FLORIDA

ORLANDO DIVISION

In re: Case No: 6:12-bk- , Debtor(s). /

MOTION FOR REFERRAL TO MORTGAGE MODIFICATION MEDIATION

The Debtor requests entry of an order referring the Debtor and

whose mortgage lien encumbers Debtor’s primary residence, to mortgage modification

mediation, and in support state:

1. The Debtor filed this Chapter 13 case in an attempt to retain their primary residence.

2. The Debtor would like to modify the terms of the mortgage encumbering their primary residence. The Debtors’ income will allow them to contribute as much as 31 percent of their current gross income to payment of their modified mortgage debt.

3. Mediation pursuant to Local Rule 9019-2 will assist the parties in negotiation of a modification of the relevant mortgage.

4. Debtor will pay the $350.00 mediation cost to the Chapter 13 Trustee prior to attending any scheduled mediation. Wherefore, Debtors request the entry of an order referring this case to mediation and for

such other and further relief as this Court deems just and proper.

A true and correct copy of the foregoing has been sent by either electronic transmission on the day of , 2012 to: Laurie K. Weatherford, Trustee, PO Box 3450, Winter Park, FL 32790; Debtor; and to Wayne Spivak, Esquire, a/f BAC Home Loans, Albertelli Law, 1234 Main Street, City, State, 12345; and to BAC Home Loans Servicing LP, Attn. Lawrence J. Buckley, as Creditors’ Authorized Agent, 400 National Way, Mail Stop CA6-919-01-23.

/s/ Robert B. Branson

Law Office of Robert B. Branson 1501 East Concord Street

Page 2: ORLANDO DIVISION

Orlando, FL 32803 (407) 894-6834 Robert B.Branson, Esquire Florida Bar Number: 800988 John Raffaelli, Esquire Florida Bar Number: 808008 Attorney for Debtor

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