Definition of Domicile - Venue Question
Posted: Tue Jun 07, 2016 9:15 am
Thanks. Does the answer change if it's a joint filing with both spouses?
On 6/6/2016 11:30 PM, Nathan Berneman nathanberneman@yahoo.com
[cdcbaa] wrote:
>
>
> Venue is proper to file in Los Angeles and he can exempt the home
> in Kern county under the 704's if needed.
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> Sent from my iPhone: Nathan Berneman
>
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> On Jun 6, 2016, at 5:43 PM, 'Steven B. Lever' sblever@leverlaw.com
> [cdcbaa] > wrote:
>
>> Sure. Based on residence, not domicile.
>>
>> Steven Lever
>>
>> *From:*cdcbaa@yahoogroups.com
>> [mailto:cdcbaa@yahoogroups.com]
>> *Sent:* Monday, June 06, 2016 5:33 PM
>> *To:* cdcbaa@yahoogroups.com
>> *Subject:* [cdcbaa] Definition of Domicile - Venue Question
>>
>> If a debtor rents an apartment solely for work/commuting purposes
>> in Los Angeles, and stays there 5 nights a week, but owns a
>> property in Kern County in which his wife and children (and
>> himself) reside, can venue be proper under 28 USC 1408 in Los
>> Angeles?
>>
>>
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>> Mark J. Markus
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>
>
>
*************************
Mark J. Markus
Law Office of Mark J. Markus
_*Mailing Address Only:*_
11684 Ventura Blvd. PMB #403
Studio City, CA 91604-2652
(818)509-1173 (818)332-1180 (fax)
web: http://www.bklaw.com/
Certified Bankruptcy Law Specialist--The State Bar of California
Board of Legal Specialization
This Firm is a Qualified Federal Debt Relief Agency
________________________________________________
NOTICE: This Electronic Message contains information from the law
office of Mark J. Markus that may be privileged. The information is
intended for the use of the addressee only. If you are not the
addressee, note that any disclosure, copy, distribution or use of
the contents of this message is prohibited.
IRS CIRCULAR 230 NOTICE: To ensure compliance with requirements
imposed by the IRS, we inform you that any U.S. tax advice contained
in this communication (or in any attachment) is not intended or
written to be used, and cannot be used, for the purpose of (i)
avoiding penalties under the Internal Revenue Code or (ii)
promoting, marketing or recommending to another party any
transaction or matter addressed in this communication.
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