In re Wunderlich

Pre 2005-Act: 
Pre 2005-Act
Former bankruptcy attorney not allowed to amend schedules due to evidence of bad faith.
Procedural posture: 
Following the court's denial of a chapter 7 debtor's claimed property exemptions under New Hampshire law, the debtor pursuant to Fed. R. Bankr. P. 1009(a) amended Schedule C to claim property exempt under New York law. A creditor filed an objection.
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