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Full title: Motion for Relief from Stay re: 2017 Ford F350. Fee Amount $ 188. Filed by John R. Morton Jr. on behalf of Ford Motor Credit Company LLC. Hearing scheduled for 10/26/2021 at 11:00 AM at JNP - Courtroom 4C, Camden. (Attachments: # 1 Proposed Order # 2 Certification # 3 Contract # 4 Title # 5 Statement as to Why No Brief is Necessary # 6 Certificate of Service) (Morton, John) (Entered: 09/30/2021)

Document posted on Sep 29, 2021 in the bankruptcy, 17 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

Philadelphia, PA 19154 John R. Morton, Jr., Esquire, attorney for Ford Motor Credit Company LLC, has filed papers with the Court for relief from the automatic stay to permit Ford Motor Credit Company LLC to repossess and sell the motor vehicle(s) described in the attached pleadings. You must also mail a copy to: John R. Morton, Jr., Esquire 110 Marter Avenue, Suite 301 Moorestown, NJ 08057 TAKE FURTHER NOTICE that the facts movant relies upon, as set forth on the accompanying certification, and the basis for relief from the automatic stay, do not present complicated questions of fact or unique questions of law, it is hereby submitted that no brief is necessary in the Court’s consideration of the within Motion, and TAKE FURTHER NOTICE that oral argument is hereby not requested. Attend the hearing scheduled to be held on October 26, 2021 at 11 a.m. in Courtroom #4C, United States Bankruptcy Court, Mitchell Cohen Federal Court House, 1 John F. Gerry Plaza, 4th. & Cooper Streets, 4th.Upon the motion of __________________________________________________, under Bankruptcy Code section 362(a) for relief from the automatic stay as to certain property ashereinafter set forth, and for cause shown, it is TAKE FURTHER NOTICE that the facts movant relies upon, as set forth on the accompanying certification, and the basis for relief from the automatic stay, do not present complicated questions of fact or unique questions of law, it is hereby submitted that no brief is necessary in the Court’s consideration of the within Motion, and TAKE FURTHER NOTICE that oral argument is hereby not requested.

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Our File No.: 52789 MORTON & CRAIG, LLC 110 Marter Avenue Suite 301 Moorestown, NJ 08057 (856)866-0100 Attorney for Ford Motor Credit Company LLC JM5630___________________________ UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF NEW JERSEY IN RE: ALUMINUM SHAPES, L.L.C. CHAPTER 11 CASE NO: 21-16520(JNP) HEARING DATE: 10-26-2021 NOTICE OF MOTION OF FORD MOTOR CREDIT COMPANY LLC FOR RELIEF FROM THE AUTOMATIC STAY To: Aluminum Shapes, L.L.C. 9000 River Road Delair, NJ 08110 Debtor Edmond M. George, Esq. Centre Square West 1500 Market Street, Suite 3400 Philadelphia, PA 19102 Attorney for the debtor U.S. Trustee, US Dept of Justice Office of the US Trustee One Newark Center, Suite 2100 Newark, NJ 07102 Attn: Jeffrey M. Sponder, Esq. CONTINUED

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CREDITORS: U.S. Small Business Administration P.S.E. &G. Region II 150 How Lane 26 Federal Plaza, Suite 3108 New Brunswick, NJ 08901 New York, NY 10278 Indigo Global NJR Retail Services One South Broad Street Attn: Pamela Flick Suite 1610 P.O. Box 9001075 Philadelphia, PA 19107 Louisville, KY 40290-1075 Nathan H. Kelman, Inc. Sentry Insurance 41 Euclid Street 1800 North Point Drive Cohoes, NY 12047 Stevens Point, WI 54481 Harris, Baio & McCullough Energy Power Investment Co., LLC 520 S. Front Street 1605 N. Cedar Crest Blvd. Philadelphia, PA 19147 Allentown, PA 18104 Pennsauken Township Merchantville-Pennsauken Water Municipal Building 6751 Westfield Avenue 5605 N Crescent Blvd. Pennsauken, NJ 08110 Pennsauken, NJ 08110 Southeastern Extrusion Tool Indialaw LLP 510 Staples Drive Apeejay Chambers, Ground Floor Florence, AL 35630 Wallace Street, Fort Mumbai Maharashtra 400001 India Northeast Metal Traders Labrador Recycling 7345 Milnor Street 115 Stevens Street Philadelphia, PA 19136 Springfield, MA 01104 Attar Metals Inc. American Express 6290 Netherhard Road Three World Financial Center Mississauga, ON L5T 1B7 Canada 200 Vesey Street New York, NY 10285-4803 Coventya, Inc. Greaney Consulting LLC 4639 Van Epps Road 800 Village Walk Brooklyn Heights, OH 44131 Guilford, CT 06437 Internal Revenue Service Local 837 401K Plan 600 Arch Street 12275 Townsend Road Philadelphia, PA 19106 Philadelphia, PA 19154

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John R. Morton, Jr., Esquire, attorney for Ford Motor Credit Company LLC, has filed papers with the Court for relief from the automatic stay to permit Ford Motor Credit Company LLC to repossess and sell the motor vehicle(s) described in the attached pleadings. Your rights may be affected. You should read these papers carefully and discuss them with your attorney, if you have one in this bankruptcy case. If you do not have an attorney, you may wish to consult with one. If you do not want the Court to grant the relief sought, or if you want the Court to consider your views on the motion, then no later than seven (7) days before the hearing date, you or your attorney must: File with the Court a written request for a hearing (or, if the Court requires a written response, an answer, explaining your position) at: United States Bankruptcy Court 1 John F. Gerry Plaza 4th. & Cooper Streets Camden, NJ 08101 If you mail your (request) (response) to the Court for filing, you must mail it early enough so the Court will receive it on or before the date stated above. You must also mail a copy to: John R. Morton, Jr., Esquire 110 Marter Avenue, Suite 301 Moorestown, NJ 08057

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TAKE FURTHER NOTICE that the facts movant relies upon, as set forth on the accompanying certification, and the basis for relief from the automatic stay, do not present complicated questions of fact or unique questions of law, it is hereby submitted that no brief is necessary in the Court’s consideration of the within Motion, and TAKE FURTHER NOTICE that oral argument is hereby not requested. Attend the hearing scheduled to be held on October 26, 2021 at 11 a.m. in Courtroom #4C, United States Bankruptcy Court, Mitchell Cohen Federal Court House, 1 John F. Gerry Plaza, 4th. & Cooper Streets, 4th. Floor, Camden, New Jersey 08102. If you or your attorney do not take these steps, the Court may decide that you do not oppose the relief sought in the motion and may enter an order. Date: 9-30-2021 /s/ John R. Morton, Jr. John R. Morton, Jr., Esquire Attorney for Ford Motor Credit Company LLC

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Caption in Compliance with D.N.J. LBR 9004-2(c) In Re: Case No.: ____________________ Hearing Date: ____________________ Judge: _____________________ Chapter: _____________________ Recommended Local Form: ” Followed ” Modified ORDER VACATING STAY The relief set forth on the following page is hereby ORDERED.

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Upon the motion of __________________________________________________, under Bankruptcy Code section 362(a) for relief from the automatic stay as to certain property ashereinafter set forth, and for cause shown, it is IT IS HEREBY ORDERED that the automatic stay of Bankruptcy Code section 362 (a) is vacated to permit the movant to pursue the movant's rights in the personal property described below to the extent and in the manner provided by any applicable contract documents and nonbankruptcy law. ‘ Real property more fully described as: ‘ Personal property more fully described as: It is further ORDERED that the movant may join the debtor and any trustee appointed inthis case as defendants in its action(s) irrespective of any conversion to any other chapter of theBankruptcy Code. The movant shall serve this order on the debtor, any trustee and any other party whoentered an appearance on the motion. Rev. 7/1/04; jml 2

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File No.: 52789 MORTON & CRAIG, LLC 110 Marter Avenue Suite 301 Moorestown, NJ 08057 (856)866-0100 Attorney for Ford Motor Credit Company LLC JM5630___________________________ UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF NEW JERSEY IN RE: ALUMINUM SHAPES, L.L.C. CHAPTER 11 CASE NO: 21-16520(JNP) HEARING DATE: 10-26-2021 STATEMENT AS TO WHY NO BRIEF IS NECESSARY IN ACCORDANCE WITH LOCAL RULES OF BANKRUPTCY PRACTICE The within Notice of Motion requests relief from the automatic stay on the grounds, as set forth on the accompanying Certification, that the Movant has a perfected security interest in the Motor Vehicle owned by the Debtor, Aluminum Shapes, L.L.C. and there has been a default. TAKE FURTHER NOTICE that the facts movant relies upon, as set forth on the accompanying certification, and the basis for relief from the automatic stay, do not present complicated questions of fact or unique questions of law, it is hereby submitted that no brief is necessary in the Court’s consideration of the within Motion, and TAKE FURTHER NOTICE that oral argument is hereby not requested. Date: 9-30-2021 /s/ John R. Morton, Jr., Esquire John R. Morton, Jr., Esquire Attorney for Ford Motor Credit Company LLC

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Table 1 on page 14. Back to List of Tables
UNITED STATES BANKRUPTCY COURT
DISTRICT OF NEW JERSEY
Caption in Compliance with D.N.J. LBR 9004-2(c)
In Re:
CERTIFICATION OF SERVICE 1. I, ____________________________ :  represent the _____________________ in the above-captioned matter.  am the secretary/paralegal for ____________________, who represents the _______________ in the above captioned matter.  am the ______________________ in the above case and am representing myself. 2. On _______________________, I sent a copy of the following pleadings and/or documents to the parties listed in the chart below: 3. I hereby certify under penalty of perjury that the above documents were sent using the mode of service indicated. Dated: _______________________ __________________________________

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Table 1 on page 15. Back to List of Tables
Name and Address of Party Served Relationship of
Party to the Case

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Table 1 on page 16. Back to List of Tables
Name and Address of Party Served Relationship of
Party to the Case

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Table 1 on page 17. Back to List of Tables
Name and Address of Party Served Relationship of
Party to the Case
* May account for service by fax or other means as authorized by the court through the issuance of an Order Shortening Time. new.3/15/

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