IN MATTER OF BROWN (Bankr.D.Md. 10-27-2009)


IN THE MATTER OF: Octavia M. Brown aka: Octavia Brown Chapter 13, DEBTOR(S) ACT PROPERTIES LLC, UBS-SSG as servicer, by UBS SSG, Servicing Agent MOVANT v. Octavia M. Brown aka: Octavia Brown Eugene S. Brown Eugene S. Brown, Co-Debtor RESPONDENT(S).

Case No.: 09-12661-TJC.United States Bankruptcy Court, D. Maryland.
October 27, 2009

CONSENT ORDER AND STIPULATION MODIFYING AUTOMATIC STAY
THOMAS CATLIOTA, Bankruptcy Judge

TO THE HONORABLE, THE JUDGE OF SAID COURT:

Upon consideration of the foregoing Motion Seeking Relief from Automatic Stay, the parties having reached an agreement, and good cause having been shown, by the United States Bankruptcy Court for the District of Maryland.

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ORDERED that the Automatic Stay be, and it is, hereby terminated, by default as to the Co-Debtor, and by Consent as to the Debtor, pursuant to 11 U.S.C. 362(d), to permit Movant, its assigns and/or successors, to commence foreclosure proceedings in the Circuit Court for Prince George’s County, Maryland against the real property and improvement known as 2901 Mueserbush Court, Lanham aka Glenarden, MD 20706 and that the successful purchasers shall take possession of the same; and be it further

ORDERED that the relief granted in the immediately proceeding paragraph be, and the same is hereby stayed, provided that the Debtor(s):

1. Resume(s) making regular monthly payments on November 1, 2009 of $1,862.30 or as adjusted for escrow changes and continue thereafter, as well as all other conditions and obligations under the terms of the Deed of Trust or Mortgage, and

2. Make(s) a payment of $1,374.87 for SIX (6) months beginning October 15, 2009 and continue through March 15, 2010. The total post-petition arrearage due from July, 2009 to October, 2009 is $8,249.20 which includes $650.00 bankruptcy legal fees and $150.00 filing fee.

Payments should be mailed to:

UBS SSG
7515 Irvine Center Drive
Irvine, CA 92618
Attn: Bankruptcy Department

Should the Debtor(s) fail to make any payment when due or should any payment be returned for insufficient funds, Movant shall file a Notice of Default with the Court. Said Notice shall provide copies to the Debtor(s) and Debtor(s)’ attorney and allow the Debtor(s) ten (10) days from the date the Affidavit of Default is mailed to cure two (2) default(s) under this agreement. Any cure of an Affidavit of Default must be made in the form of a certified or cashier’s check, or Western Union Quick Collect. No right shall be given to cure any ensuing default. In the event of a subsequent default and upon notice to Debtor(s), Debtor(s)’ counsel and the Court the stay shall automatically terminate.

The ten (10) day stay of Bankruptcy Rule 4001(a)(3) is waived.

The parties agree that if the Debtor(s) converts this case to a Chapter 7, the Movant may immediately exercise all rights provided by the security instruments referenced in this Order and applicable state law.

SO ORDERED.

Bennie R. Brooks, Esquire, Attorney for Debtor.

Richard J. Rogers, Esquire, Cohn, Goldberg Deutsch, LLC, Towson, MD, Federal Bar #: 01980 (MD), 430501 (DC). Attorney for Movant.

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Notice Recipients

District/Off: 0416-0 User: mrybczyns Date Created: 10/27/2009

Case: 09-12661 Form ID: pdfall Total: 5

Recipients of Notice of Electronic Filing:

tr Nancy L Spencer Grigsby Grigsbyecf@ch13md.com

aty Bennie R. Brooks bbrookslaw@aol.com

TOTAL: 2

Recipients submitted to the BNC (Bankruptcy Noticing Center):

db Octavia M. Brown 2901 Mueserbush Court Lanham, MD 20706

cr ACT PROPERTIES LLC, UBS-SSG as servicer (CG 600 Baltimore Avenue Ste 208 Towson, MD
21204

Eugene S. Brown 2901 Mueserbush Court Lanham, MD 20706

TOTAL: 3