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Case 12-28809 Doc 67-2 Filed 02/20/13 Page 1 of 3

IN THE UNITED STATES BANKRUPTCY COURT

FOR THE DISTRICT OF MARYLAND

Located in Greenbelt

IN RE

MONICA PATRICIA MCGINLEY
A/K/A MONICA STEYSKAL

Case No. 12-28809-TJC
Chapter 13

Motion No.

Debtor
CENTRAL MORTGAGE COMPANY
801 John Barrow Road
Suite 1
Little Rock, AR 72205

Movant
v.

DIANNE M. FAVRE
18933 Treebranch Terrace
Germantown, MD 20874

and

MONICA PATRICIA MCGINLEY
a/k/a Monica Steyskal
19710 Maycrest Way
Germantown, MD 20876

Respondents

NOTICE OF MOTION FOR RELIEF FROM STAY AND HEARING THEREON

Central Mortgage Company has filed papers with the court seeking relief
from the automatic stay of 11 U.S.C. § 362(a) to enable it to proceed to foreclosure
on the property known as 18933 Treebranch Terrace, Germantown, MD 20874.
Your rights may be affected. You should read these papers carefully and discuss
them with your lawyer, if you have one in this bankruptcy case. (If you do not have
a lawyer, you may wish to consult one.)
If you do not want the court to grant the motion for relief from stay, or if you
want the court to consider your views on the motion, then by

MARCH 11, 2013

you or your lawyer must file a written response with the Clerk of the Bankruptcy
Court explaining your position and mail a copy to:

ROSENBERG &

ASSOCIATES, LLC

7910 WOODMONT AVENUE

SUITE 750

BETHESDA, MARYLAND 20814

(301) 907-8000

FILE NUMBER: 39621

Case 12-28809 Doc 67-2 Filed 02/20/13 Page 2 of 3

Diane S. Rosenberg, Attorney for the Movant
Rosenberg & Associates, LLC
7910 Woodmont Avenue, Suite 750
Bethesda, Maryland 20814
diane@rosenberg-assoc.com

Nancy Grigsby, Trustee
P.O. Box 958
Bowie, MD 20718

If you mail rather than deliver, your response to the Clerk of the Bankruptcy
Court for filing, you must mail it early enough so that the court will receive it by the
date stated above.

The hearing is scheduled for

MARCH 18, 2013 at 10:00 AM at the United States Bankruptcy Court, United
States Bankruptcy Court, 6500 Cherrywood Lane, Greenbelt, Maryland 20770,

Courtroom 3-E.

IF YOU OR YOUR LAWYER DO NOT TAKE THESE STEPS BY THE
DEADLINE, THE COURT MAY DECIDE THAT YOU DO NOT OPPOSE THE
RELIEF SOUGHT IN THE MOTION AND MAY GRANT OR OTHERWISE
DISPOSE OF THE MOTION BEFORE THE SCHEDULED HEARING DATE.

Date: February 20, 2013

___________________________________
/s/ Mark D. Meyer, Esq.
Mark D. Meyer, Esq.
Rosenberg & Associates, LLC
7910 Woodmont Avenue, Suite 750
Bethesda, Maryland 20814
(301) 907-8000
mmeyer@rosenberg-assoc.com

ROSENBERG &

ASSOCIATES, LLC

7910 WOODMONT AVENUE

SUITE 750

BETHESDA, MARYLAND 20814

(301) 907-8000

FILE NUMBER: 39621

Case 12-28809 Doc 67-2 Filed 02/20/13 Page 3 of 3

CERTIFICATE OF SERVICE

I HEREBY CERTIFY that on February 20, 2013, a copy of the foregoing
Notice of Motion for Relief from the Automatic Stay was mailed, first class postage
prepaid, or via electronic email, to the following:
Dianne M. Favre
18933 Treebranch Terrace
Germantown, MD 20874

Nancy Grigsby, Trustee
P.O. Box 958
Bowie, MD 20718

Monica Patricia McGinley
a/k/a Monica Steyskal
19710 Maycrest Way
Germantown, MD 20876

Teresa Cho Edwards, Esquire
Law Office of Teresa Cho Edwards
9500 Arena Drive #460-A, Largo MD
20774

______________________________
/s/ Mark D. Meyer, Esq.
Mark D. Meyer, Esq.

ROSENBERG &

ASSOCIATES, LLC

7910 WOODMONT AVENUE

SUITE 750

BETHESDA, MARYLAND 20814

(301) 907-8000

FILE NUMBER: 39621