- 11 U.S.C.
Liquidating Supervisor for Riverside Healthcare Inc. v. Sysco Food Servs. of San Antonio LP (In re Riverside Healthcare Inc.)
Sep
11
2008
Ruling
Preference period payments made in similar fashion to prepreference period payments were made in ordinary course of business and were not avoidable.
Procedural posture
Plaintiff liquidating supervisor for the chapter 11 debtors sued defendant creditor to avoid preferential transfers under 11 U.S.C.S. § 547. The parties stipulated that the only issue was whether the ordinary course of business exception under 11 U.S.C.S. § 547(c)(2) applied to the transfers at issue.
ABI Membership is required to access the full summary of Liquidating Supervisor for Riverside Healthcare Inc. v. Sysco Food Servs. of San Antonio LP (In re Riverside Healthcare Inc.) Please sign in if you are already an ABI member, or otherwise you may Become an ABI Member
Court
: