IN RE MUSTAFA, 09-31724-WIL (2011)
Court: United States Bankruptcy Court, D. Maryland
Number: inbco20111013821
Visitors: 28
Filed: Oct. 07, 2011
Latest Update: Oct. 07, 2011
Summary: CONSENT ORDER AND STIPULATION RESOLVING ADVERSARY PROCEEDING JEANNE M. CROUSE. Plaintiff W. Clarkson McDow, Jr., the United States Trustee for Region 4, ("United States Trustee") by and through his undersigned counsel, and Defendant-attorney Henry St. John FitzGerald ("Defendant"), proceeding pro se at this time, as evidenced by the electronic signatures below, have agreed to resolve the issues raised in the adversary proceeding styled as United States Trustee v. FitzGerald (In re Mustafa)
Summary: CONSENT ORDER AND STIPULATION RESOLVING ADVERSARY PROCEEDING JEANNE M. CROUSE. Plaintiff W. Clarkson McDow, Jr., the United States Trustee for Region 4, ("United States Trustee") by and through his undersigned counsel, and Defendant-attorney Henry St. John FitzGerald ("Defendant"), proceeding pro se at this time, as evidenced by the electronic signatures below, have agreed to resolve the issues raised in the adversary proceeding styled as United States Trustee v. FitzGerald (In re Mustafa) ,..
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CONSENT ORDER AND STIPULATION RESOLVING ADVERSARY PROCEEDING
JEANNE M. CROUSE.
Plaintiff W. Clarkson McDow, Jr., the United States Trustee for Region 4, ("United States Trustee") by and through his undersigned counsel, and Defendant-attorney Henry St. John FitzGerald ("Defendant"), proceeding pro se at this time, as evidenced by the electronic signatures below, have agreed to resolve the issues raised in the adversary proceeding styled as United States Trustee v. FitzGerald (In re Mustafa), Adv. Proc. No. 10-00687 ("AP"), as follows:
1. Within seven (7) days of the date that the Court enters this Order, Defendant shall turnover and pay to Fatima Mustafa, whose address of record in this case is 14406 Autumn Branch Terrace, Boyds, MD 20841, the sum of $750.00, and shall provide evidence thereof to the United States Trustee;
2. Defendant, as well as any existing or future sole proprietorships, corporations, partnerships, limited liability companies, or any other type of business or organization or entity that Defendant has created or may create, has an ownership interest in, or otherwise controls, including, but not limited to, The Legal Advocacy Group, PLC, is hereby permanently enjoined from acting as a bankruptcy petition preparer and/or engaging in any conduct in violation of 11 U.S.C. § 110 in this District; and
3. Within seven (7) days after the Defendant has complied with Paragraph 1 above, the United States Trustee will file a Line with the Court asking that this AP be dismissed and a Line in the underlying bankruptcy case asking the Court to dismiss the Order to Show Cause that has been issued against the Defendant (Case No. 09-31784, D.E. 8).
WHEREFORE, the parties request that this Court approve this Stipulation and enter it as a consent order.
SO ORDERED.
Source: Leagle