§ 549(d)

Nationwide Ambulance Servs., In re--Isaacson v. Ivchenko

Ruling: 
Trustee could not use relation back rule to avoid and recover post-petition transfers whereclaim was time barred. (Bankr. D.N.J.)
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Court: Judge or Jurisdiction information not available
Commercial case opionion summary, case decided on September 06,2019, LexisNexis #1119-012

Gugino v. Turner (In re Clark)

Ruling: 
Trustee's proceeding to avoid sale of tractor by chapter 12 debtor completed prior to conversion to chapter 7 was time barred.
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Consumer case opionion summary, case decided on September 18,2015, LexisNexis #1015-054

Manty v. Bougie (In re Bougie)

Ruling: 
Trustee could avoid unauthorized postpetition mortgage.
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Consumer case opionion summary, case decided on May 16,2014, LexisNexis #0614-096

Still v. Bowers (In re McKenzie)

Ruling: 
Statute of limitations not tolled due to trustee's failure to be alerted by "red flags."
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Consumer case opionion summary, case decided on May 16,2014, LexisNexis #0614-097

Miller v. MBM Corp. (In re Ameriking Inc.)

Plaintiff chapter 7 trustee filed an original complaint seeking recovery from defendant transferee of eight alleged transfers aggregating $1,222,901 under 11 U.S.C. §§ 547, 548, 502(d) and 550. The amended complaint asserted the same claims as the original complaint, but added a new two-page exhibit "B," detailing 56 apparently additional transfers totaling $4,959,980. The trustee moved for leave to file a second amended complaint.
Ruling: 
Trustee was denied a motion to further amend a transfer avoidance action complaint on procedural grounds and since the proposed new cause of action was barred by Code section 549(d)'s two-year limitations period.
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