In re Davenport

Pre 2005-Act: 
Pre 2005-Act
Debtor was not excused from prepetition credit counseling requirement despite exigent circumstances because the debtor failed to make a prefiling request for counseling.
Procedural posture: 
The debtor filed a motion to be excused from complying with the prepetition credit counseling requirement of 11 U.S.C. § 109(h), alleging only that certain "exigent circumstances" — the imminent repossession of the debtor's truck — made prepetition credit counseling "meaningless." Two days after filing the petition, the debtor did receive the approved credit counseling.
ABI Membership is required to access the full summary of In re Davenport. Please sign in if you are already an ABI member, or otherwise you may Become an ABI Member