In re Wilbur

Ruling: 
Court, in denying plan confirmation, held that "unsecured creditors" in section 1325(b)(1)(B) referred to non-priority unsecured creditors only.
Procedural posture: 
Debtors moved for confirmation of their proposed chapter 13 plan. The chapter 13 trustee filed an objection. The issue was whether the term "unsecured creditors" in 11 U.S.C. § 1325(b)(1)(B) referred to non-priority unsecured creditors only. The debtors'position was that the term "unsecured creditors," as found in section 1325(b)(1)(B) included unsecured creditors holding both priority and non-priority claims.
Issue: 
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