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IN THE COUNTY COURT OF THE 5TH JUDICIAL CIRCUIT, IN AND FOR LAKE COUNTY, FLORIDA CASE NO: 49-2008-CA-10683-MF

THE BANK OF NEW YOURK MELLON TRUST COMPANY, Plaintiff, vs. SONIA IRIZARRY, Defendant(s), ________________________________________________________________________ SUGGESTION OF BANKRUPTCY AND SPECIAL NOTICE OF APPEARANCE YOU ARE HEREBY NOTIFIED that the United States Bankruptcy Court for the Middle District of Florida, Orlando Division, entered an Order of relief on behalf of the Defendant(s)/Debtor(s), Sonia Irizarry, The Debtor(s)/Defendant(s) has filed a Petition under Title 11, Chapter 7 of the United States Code in the United States Bankruptcy Court for the Middle District of Florida, Orlando Division, on the 24th day of September, 2011. The Debtors Case Number is 6:11-bk-14493. This is in nature of a SPECIAL APPEARANCE and is not to be construed as though this attorney is representing this client in this proceeding, as his representation is limited to the Bankruptcy Proceeding. The Only purpose of this Special Notice of Appearance is to be placed on all mailing lists. Pursuant to Title 11, U.S.C. 362(a), all creditors of said Debtors are hereby stayed from the following: 1. the commencement or continuation, including the issuance or employment of process, of a judicial, administrative, or other action or proceeding against the Debtors that was or could have been commenced before the commencement of the case under this title, or to recover a claim against the Debtors that arose before the commencement of the case under this title; the enforcement, against the Debtors or against property of the estate, of a judgment obtained before the commencement of the case under this title; any act to obtain possession of property of the estate or of property from the estate or to exercise control over the property of the estate; any act to create, perfect, or enforce any lien against property of the estate;

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any act to create, perfect, or enforce against property of the Debtors any lien to the extent that such lien secures a claim that arose before the commencement of the case under this title; any act to collect, assess, or recover a claim that arose before the commencement of the case under this title against any claim against the Debtors; the setoff of any debt owing to the Debtors that arose before the commencement of the case under this title against any claim against the Debtors; and the commencement or continuation of a proceeding before the United States Tax Court concerning the Debtors.

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Relief from the automatic stay may be sought by filing a Motion in the United States Bankruptcy Court, pursuant to 11 U.S.C. 362(d)

VIOLATIONS OF THE AUTOMATIC STAY REFERENCED HEREIN MAY RESULT IN SANCTIONS.

CERTIFICATE OF SERVICE I HEREBY CERTIFY that I have forwarded a true and correct copy of the foregoing to the Plaintiff(s) Attorney at: Florida Default Law Group, PL, PO Box 25018, Tampa, FL 33622-5018 and/or via facsimile to 813-25-1541 on this 26th day of September, 2011. THE MAYER LAW FIRM

BY:

/s/ Jessica R. Mayer Jessica R. Mayer, Esq FL Bar No. 0049895 6500 N Atlantic Ave., Ste C Cape Canaveral, FL 32920 321-406-0711 (Tel) 866-326-5428 (Fax)

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