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Segarra Miranda v. Garrido Pagan (In re Garrido Jimenez)

Defendant transferees appealed a decision of the Bankruptcy Court for the District of Puerto Rico that granted summary judgment in favor of plaintiff chapter 7 trustee. The issue was whether the trustee was entitled to avoid the prepetition transfer of real estate to the transferees where the deed was not recorded until after the commencement of the debtor's bankruptcy case.
Ruling: 
Trustee could avoid prepetition transfer of real estate that was not recorded until after petition date.
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Jones v. Boston Gas Co. (In re Jones)

Appellant debtor sought review of an order of the Bankruptcy Court for the District of Massachusetts, which denied her claim for sanctions against appellee utility and determined that the utility's termination of her gas service for failure to pay postpetition bills was permitted by 11 U.S.C. § 366(b) and did not violate the automatic stay under 11 U.S.C. § 362.
Ruling: 
Utility could discontinue debtor's gas service for failure to make postpetition payments.
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Kibbe v. Sumski (In re Kibbe)

Appellant debtor challenged an order of the Bankruptcy Court for the District of New Hampshire denying confirmation of her chapter 13 plan. Appellee was the chapter 13 trustee.
Ruling: 
Bankruptcy court properly calculated "projected disposable income" in rejecting debtor's plan.
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