Name of Plaintiff______________
Address
UNITED STATES BANKRUPTCY COURT
DISTRICT OF ARIZONA (Phoenix)
DEBTOR
Plaintiff
______________________________________________________
AGAINST
No. 2008 BK #
,Defendants
Chapter 7
EMERGENCY
MOTION FOR
_______________________________________________________
CONTEMPT
EMERGENCY MOTION FOR EXPEDITED JUDGEMENT TO HOLD
COUNTRYWIDE HOME LOANS, BAC HOME LOAN SERVICING, RECON
TRUST, M.E.R.S. IN CONTEMPT OF THE AUTOMATIC STAY OF AUGUST
28, 2008 PREVENTING ANY ACTION TO COLLECT ANY DEBT LISTED IN
THE ORIGINAL BANKRUPTCY FILING
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OVERVIEW
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I, ______________, respectfully request the expedited determination of the issues raised
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in this Motion for Contempt. (Clevenger vs Countrywide Financial)
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On August 12, 2009 Countrywide Home Loan, BAC Home Loan Servicing, HSBC Bank,
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Recon Trust, M.E.R.S , hereafter referred to as the respondents, among other Plaintiffs
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reinstated a legal action in Arizona against the Debtor and other defendants by
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attempting to seize property to satisfy the alleged debt. This action violates the
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automatic stay( U.S. Code Title 11>Chapter 3>Subchapter IV.362) in place after the
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filing of Debtors bankruptcy case and violates the Dischage Order dated 12/29/2008.
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The respondents were informed of the hearing on October 20, 2008. Respondents
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elected not to contest the debt or be represented at the hearing. Documents asking the
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respondents to verify the debt were sent via certified mail and ignored by Respondents.
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Failure to respond violates FDCPA, 15 USC 1601 sect. 808, 814. The respondents never
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sought a motion to lift stay.
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CONCLUSION
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The respondents are in clear violation of said stay and are in contempt of the U.S
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Bankruptcy Court. The Debtor seeks a permanent injunction to the respondents against
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any further action in the collection of the alleged debt with clear penalties for further
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violation. The Debtor, further seeks the Court to find the Respondents in Contempt of
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Court and to impose any