Keywords:
special circumstances .
means test .
Chapter 13 plan .
Projected disposable income .
No Ninth Circuit cases in database on this topic
court allowed a debtor whose monthly disposable income created the presumption of abuse under the means test to remain in chapter 7 since the creditors would not receive any distribution under a chapter 13 plan.
debtor's ability to pay creditors in a hypothetical 13 relevant to 707(b)(3) totality of the circumstances analysis. debtors 401(k) loans would allow for 0 payment to unsecured creditors.
court allowed a debtor whose monthly disposable income created the presumption of abuse under the means test to remain in chapter 7 since the creditors would not receive any distribution under a chapter 13 plan.
debtor's ability to pay creditors in a hypothetical 13 relevant to 707(b)(3) totality of the circumstances analysis. debtors 401(k) loans would allow for 0 payment to unsecured creditors.
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