Swinson v. Fritz (In re Lytle)

Trustee could not set aside transfer of real estate where the transferee held only bare legal title subject to a resulting trust.
Procedural posture: 
Plaintiff trustee sought to set aside a deed conveying the debtors' interest in real estate to defendants as either a preference under 11 U.S.C.S. § 547 or a constructively fraudulent transfer under 11 U.S.C.S. § 548(a)(1)(B).
ABI Membership is required to access the full summary of Swinson v. Fritz (In re Lytle). Please sign in if you are already an ABI member, or otherwise you may Become an ABI Member
Consumer case opionion summary, case decided on November 12,2010, LexisNexis #0111-059