Beruflich Dokumente
Kultur Dokumente
Bauerle (n.k.a. Elizabeth Bidgood) is now known as Scott Bidgood or Scott Allen Bidgood is
attached. Take notice:
21. The unknown spouse of Elizabeth Bauerle, n.k.a. Elizabeth Bidgood, is Scott
Bidgood, also known as Scott Allen Bidgood.
January 8, 2016
23. Scott Bidgood does not have any interest in the property at 8092 SW 115th Loop,
Ocala, Florida, 34481, Marion County, Parcel ID No. R7013-007-001 through marriage
to Elizabeth Bauerle, n.k.a. Elizabeth Bidgood. As a Successor Trustee, I concluded the
unpaid balance on Bank of America N.A. loan #701159906 of $34,169.34, when
deducted from any share to be given to Elizabeth Bauerle, negated any amount due
Elizabeth Bauerle by way of inheritance and the property at 8092 SW 115th Loop, Ocala,
Florida, 34481, Marion County, Parcel ID No. R7013-007-001.
24. Defendants' Consent to Judgment (Exhibit 10) concluded any interest of Elizabeth
Bauerle, n.k.a. Elizabeth Bidgood, and the Unknown Spouse of Elizabeth Bauerle, n.k.a.
Scott Bidgood or Scott Allen Bidgood, in the property at 8092 SW I 15th Loop, Ocala,
Florida, 34481, Marion County, Parcel 10 No. R7013-007-001.
2.
I was not able to get my affidavit notarized until 6:20 AM this morning, January 8, 2016,
see attached the receipt for notary services. I apologize to the Court for missing the deadline by 6
hours 20 minutes, January 7, 2016, promised in Defendants Motion to Extend Time to Respond.
WHEREFORE, I respectfully move the Court to dismiss with prejudice Plaintiffs Notice
of Action to Foreclose Unknown Spouse of Elizabeth Bauerle, 6356 SW 106th Place, Ocala,
Florida, 34476.
RESPECTFULLY SUBMITTED January 8, 2016.
January 8, 2016
Neil J. Gillespie
Mr. Curtis Wilson, Esq.
McCalla Raymer, LLC
225 E. Robinson Street, Ste. 660
Orlando, FL 32801
Email: MRService@mccallaraymer.com
Gregory C. Harrell
General Counsel to David R. Ellspermann,
Marion County Clerk of Court & Comptroller
P.O. Box 1030
Ocala, Florida 34478-1030
Email: gharrell@marioncountyclerk.org
Neil J. Gillespie and Mark Gillespie as Co-Trustees of the Gillespie Family Living Trust
Agreement dated February 10, 1997
8092 SW 115th Loop
Ocala, FL 34481
Email: neilgillespie@mfi.net
Email: mark.gillespie@att.net
Neil J. Gillespie
8092 SW 115th Loop
Ocala, FL 34481
Email: neilgillespie@mfi.net
Mark Gillespie
7504 Summer Meadows Drive
Ft. Worth, TX 76123
Email: mark.gillespie@att.net
January 8, 2016
116 OCALA
OCALA, FL 34471
Window - B6B
(352)390-2681
01/08/2016 6:20 AM
Transaction 935663
Amount
Fee
NOTARY
20.00
IO PRESENTED: FL DL G421-630-56-099-0
Subtotal
Tendered
Change (currency)
20.00
20.00
.00
STATE OF FLORIDA
COUNTY OF MARION
)
) SS.:
)
AFFIDAVIT
BEFORE ME, this day personally appeared NEIL J. GILLESPIE, who upon being duly
sworn deposed upon oath as follows:
1.
My name is Neil J. Gillespie. I am over eighteen years of age. This affidavit is given on
Elizabeth A. Gillespie married Frank E. Bauerle, IV, and became Elizabeth A. Bauerle.
4.
Bauerle, IV, Husband, in the Circuit Court of the Thirteenth Judicial Circuit, in and for
Hillsborough County, Florida, Case No. 91-12060, is attached to this affidavit as Exhibit 1.
5.
Elizabeth Bauerle remained single from November 7, 1991, until after June 21, 2010.
7.
Elizabeth Bauerle lived as a single person at 10836 SW 85th Terrace, Ocala, Florida until
she sold the property December 8, 2004. A warranty deed recorded at Book 3899 Page 219,
CFM #2004184255 shows Grantor Elizabeth Bauerle, a single person, conveyed Parcel ID No.
7003-001-003 to Grantees Jacob L. Dykstra and Jeralyn K. Dykstra, husband & wife. Exhibit 2.
8.
The First Amendment of The Gillespie Family Living Trust Agreement Dated February
10, 1997, made February 21, 2006, is attached as Exhibit 3, and states on page 2, paragraph 2:
However, since we previously took out a mortgage with Bank of America, N.A., loan
number #701159906, on the above referenced homestead real property, of which the
proceeds were given to ELIZABETH A. BAUERLE for her personal use, and on which
she is currently making monthly payments, we hereby instruct the Successor Trustee to
deduct from the share to be given to ELIZABETH A. BAUERLE at the time of both of
our deaths an amount equal to the outstanding balance of said mortgage existing at the
time of both of our deaths, with the deducted amount being added equally, share and
share alike, to the shares to be given to MARK J. GILLESPIE and NEIL J. GILLESPIE
at the time of both of our deaths."
9.
On or about July 31, 2006 Elizabeth Bauerle stopped making payments on Bank of
On December 3, 2006, I wrote a letter for my mother, who had Alzheimers disease and
could not write it herself, to Elizabeth Bauerle, about loan 701159906. Exhibit 4.
Your last mortgage payment was made on July 31, 2006. Your mortgage balance at that
time was $34,169.34, and continues to accrue interest at 6.5%. (About $740.32 in interest
alone has accrued in the past four months).
11.
Elizabeth Bauerle never made another payment on Bank of America N.A. loan number
As a Successor Trustee, I concluded the unpaid balance on Bank of America N.A. loan
number #701159906 of $34,169.34, when deducted from any share to be given to Elizabeth
Bauerle, negated any amount due Elizabeth Bauerle by way of inheritance and the property at
8092 SW 115th Loop, Ocala, Florida, 34481, Marion County, Parcel ID No. R7013-007-001.
13.
After selling her home, Elizabeth Bauerle and boyfriend Scott Bidgood, lived as
unmarried persons at 6356 SW 106th Place, Ocala, FL 34476, Parcel ID No. 35686-004-10,
owned by Robert M. Bidgood and Florence V. Bidgood, parents of Scott Bidgood, and held in
the Bidgood Family Revocable Trust. The property was sold February 26, 2009. Exhibit 5.
14.
Elizabeth Bauerle and boyfriend Scott Bidgood moved to Illinois and resided at the
On March 11, 2010, Scott Bidgood filed a Voluntary Petition for Chapter 7 Bankruptcy,
No. 10-10313, in the United States Bankruptcy Court, Northern District of Illinois. The docket
for Bankruptcy Petition No. 10-10313 is attached to this affidavit as Exhibit 6, and shows,
Debtor
Scott Allen Bidgood
34w584 Illinois St.
Saint Charles, IL 60174
KANE-IL
SSN / ITIN: xxx-xx-4782
16.
Scott Bidgood filed a Chapter 7 Statement of Current Monthly Income And Means-Test
17.
Discharge of Debtor (Doc. 15) was entered in No. 10-10313 on June 21, 2010. Exhibit 8.
18.
On information and belief, Elizabeth Bauerle and Scott Bidgood married sometime after
June 21, 2010. The Kane County (IL) Clerk has refused to provide me a copy of the marriage
record, citing the Illinois Freedom of Information Act (FOIA), 5 ILCS 140/7 Exemptions: (b)
private information, as it pertains to a marriage record.
19.
On December 23, 2015 I filed a FOIA with the Kane County Clerk, attached to this
The due date for The Kane County Clerk to respond to my FOIA was Thursday,
December 31, 2015. As of today The Kane County Clerk has not responded to my FOIA.
21.
The unknown spouse of Elizabeth Bauerle, n.k.a. Elizabeth Bidgood, is Scott Bidgood,
On July 15, 2013, Elizabeth Bauerle, n.k.a. Elizabeth Bidgood, gave Notice of
Defendants' Consent to Judgment in case 2013-CA-00115 Marion County Florida. Exhibit 10.
23.
Scott Bidgood does not have any interest in the property at 8092 SW 115th Loop, Ocala,
Florida, 34481, Marion County, Parcel ID No. R7013-007-001 through marriage to Elizabeth
Bauerle, n.k.a. Elizabeth Bidgood. As a Successor Trustee, I concluded the unpaid balance on
Bank of America N.A. loan #701159906 of $34,169.34, when deducted from any share to be
given to Elizabeth Bauerle, negated any amount due Elizabeth Bauerle by way of inheritance and
the property at 8092 SW 115th Loop, Ocala, Florida, 34481, Marion County, Parcel ID No.
R7013-007-001.
24.
Bauerle, n.k.a. Elizabeth Bidgood, and the Unknown Spouse of Elizabeth Bauerle, n.k.a. Scott
Bidgood or Scott Allen Bidgood, in the property at 8092 SW I 15th Loop, Ocala, Florida, 34481,
Marion County, Parcel 10 No. R7013-007-001.
FURTHER AFFIANT SAYETH NOT.
day of January,
2016, by Neil J. Gillespie, who is personally known to me, or who has produced ~ as
identification and states that he is the person who made this affidavit and that its contents are
truthful to the best of his knowledge, information and belief.
(SEAL)
;;; J
TAISHA MORAN
NOTARY PUBLIC
.~~:Mt\ '~STATE OF FLORUlA
OTARYPUBLI
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and
Prank E. Bauerle, IV, Husband
ftic
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0LER 0 U014W
011-v' A final hearing was held November 7, 1991. Present lifir0 0'
the Petitioner, residency witness, and Attorney, J. T. Schrotel.
The Respondent was not present or represented by an attorney.
The Court found that the Petitioner has been a continuous resident
of the State of Florida for more than six months before filing the
Petition, that there are no minor children born, adopted, or
expected of this marriage, and that the parties were married to
each other October 4, 1987 at Arlington, Virginia and lived together
as husband and wife until August 1991.
ORDERED AND ADJUDGED:
1. The Court has jurisdiction of the parties and subject
matter of this action.
2. The marriage between Petitioner, Elizabeth A. Bauerle,
and Respondent, Frank E. Bauerle, IV, is dissolved because it is
irretrievably broken.
DONE AND ORDERED at Tampa, Hillsborough County, Florida on
November 7, 1991.
fiETURri 64801111"GUM.
lc
4.
Copies to;
Elizabeth A. Bauerle
4105 W. Bay Ave.
Tampa, PL 33616
Prank E. Bauerle, IV
PSC Box 2588
Chanute APB, IL 61868-5360
LEGAL CLINIC OF TAMPA BAY
J. T. Wrote!, Attorney, PA.
C & S Bank Building, Suite 1112
412 Madison St. Tampa, Florida 33602
(813) 223-7771
trtr- -
aok
6430pAcE 979
http://www.pa.marion.fl.us/MCPAENG2.PHP?SEARCHBY=Parcel_ID_Real&name=7003-001-003
Return to Search.
1/7/2016 9:14 PM
Made this
SW 115th Loop, Ocala, Florida 34481, as Grantor and PENELOPE M. GILLESPIE of 8092 SW
115th Loop, Ocala, Florida 34481, as Trustee. Co-Grantor and Co-Trustee, CORNELIUS L.
GILLESPIE previously died on September 17, 2002.
The Agreement establishing the "GILLESPIE FAMlLY LIVING TRUST AGREEMENT
dated February 10, 1997" is amended in part as follows:
1.
SCHEDULE "A", Paragraph A. shall be deleted in its entirety and replaced with the
following language:
"A. I hereby name as the current Co-Trustees of this Trust Agreement PENELOPE M.
GILLESPIE of8092 SW 115thLoop, Ocala, Florida 34481, NEIL J. GILLESPIE of8092 SW 115th
Loop, Ocala, Florida 34481, and MARK 1. GILLESPIE of 7504 Summer Meadows Drive, Fort
Worth, Texas 76123-1979. Upon the death or incapacity of PENELOPE M. GILLESPIE, NEIL
1. GILLESPIE and MARK 1. GILLESPIE shall serve as the Co-Successor Trustees. In the event that
one ofthe persons named in the preceding sentence is unable or unwilling to serve in such capacity,
then the other person named in the preceding sentence shall serve as the sole Successor Trustee. In
the event that neither NEIL J. GILLESPIE nor MARK J. GILLESPIE are able or willing to serve
in such capacity, then I appoint ELIZABETH A. BAUERLE of6356 SW l06 th Place, Ocala, Florida
34476 to serve as Successor Trustee in their places.
Notwithstanding anything in this Trust to the contrary, if during the lifetime of the Grantor,
the Grantor appoints Co-Trustees to serve along with the Grantor as Trustees, then either the
Grantor or the Co-Trustees may act individually for and conduct business on behalf of the Trust
without the consent of the other parties named as Co-Trustees. Except as to those powers
specifically reserved by the Grantor, the appointed Co-Trustees shall have all of the powers of the
original Trustee as if originally appointed."
2.
SCHEDULE ''B'', Paragraph B. shall be deleted in its entirety and replaced with the
following language:
"B.
The Successor Trustee (s) then shall distribute the remairllng trust assets, subject to
the provisions ofthis trust as follows:
1.
All of our Trust assets, whether they be real, personal, or mixed, including the
homestead real property that we may own at the time of our deaths, equally, share and share alike,
to MARK J. GILLESPIE of 7504 Summer Meadows Drive, Fort Worth, Texas 76123-1979,
ELIZABETH A. BAUERLE of6356 SW 106 th Place, Ocala, Florida 34476 and NEIL 1. GILLESPIE
of8092 SW 115th Loop, Ocala, Florida 34481. Should one ofsaid persons in the preceding sentence
predecease the both of us, then that personfs share shall pass equally, share and share alike, to other
living persons named in the preceding sentence and not per stirpes.
However, since we previously took out a mortgage with Bank ofAmerica, N.A., loan number
#701159906, on the above referenced homestead real property, of which the proceeds were given
to ELIZABETH A. BAUERLE for her personal use, and on which she is currently making monthly
payments, we hereby instruct the Successor Trustee to deduct from the share to be given to
ELIZABETH A. BAUERLE at the time of both of our deaths an amount equal to the outstanding
balance ofsaid mortgage existing at the time ofboth ofour deaths, with the deducted amount being
added equally, share and share alike, to the shares to be given to MARK J. GILLESPIE and NEIL
J. GILLESPIE at the time of both of our deaths."
2.
In all other respects the above described Trust Agreement shall remain as first made,
and as amended by this Amendment, I hereby ratifY, confirm and republish the above described Trust
Agreement.
IN WITNESS WHEREOF, I, PENELOPE M. GILLESPIE, have signed, sealed and
published and declared this instrument as the First Amendment ofthe Gillespie Family Living Trust
/)jS.L
Agreement dated February 10, 1997, at Inverness, Citrus County, Florida this' A
feu, Wj
:.--day of
,2006.
made, published and declared by PENELOPE M. GILLESPIE, as the First Amendment of the
Gillespie Family Living Trust Agreement dated February 10, 1997, in the presence ofeach ofus, said
Grantor and Trustee then being over the age of(l &) eighteen years, ofsound and disposing mind and
memory, and not acting under duress or undue influence, and we subscribe our names in her presence
and the presence of each other.
--"-===---
of Inverness, Florida
ofInvemess, Florida
STATE OF FLORIDA
COUNTY OF CITRUS
WE, PENELOPE M. GILLESPIE, STEVEN H.L. BOWMAN and MARYBETH
BOWMAN, the Grantor and Trustee and the witnesses, respectively, whose names are signed to the
attached or foregoing instrument, being first duly sworn, do hereby declare to the undersigned officer
that the Grantor and Trustee signed this instrument as the First Amendment of the Gillespie Family
Living Trust Agreement dated February 10, 1997 and that she signed voluntarily and that each ofthe
witnesses in the presence ofeach other signed said instrument as a witness and that to the best ofthe
knowledge of each witness the Grantor and Trustee was at that time (18) eighteen years of age, of
sound mind and under no constraint or undue influence.
~Q
--=--~-======~-====---=
--
NOTARYACKNO~EDGMENT
Grantor and Trustee, and subscribed and sworn to before me by STEVEN HL. BOWMAN and
~ ,(J::.
--:
,2006.
--"'~---"
ANGELA PARKER
MY COMMISSION # DO 235451
EXPIRES: January 21, 2007
(I
Page 1 of2
You said you cannot pay your debt as promised, but my expenses keep mounting.
I need your help with this debt. You can help by doing the following. Return the two
paintings so I can sell tllem and pay your debt. Return the guns and knifes you took from
my horne so I can sell them and pay bills. And by returning my golf cart, I can sell it and
apply the money to the $5,289.83 in expenses I incurred as outlined above.
Also, you can make payments on your $34,169.26 mortgage balance directly to
SunTrust Bank. Mark will tell you how. You can pay any amount, even $100.00 a
month if that is all you can afford. You can even pay less than that, but it is important to
pay something each month. Please help me with the debts you left me. I have other
expenses too. A recent dental appointment cost me $1,172.00. And due to the "doughnut
hole" in my Medicare Part D prescription drug plan, I am paying over $300.00 monthly
for out-of-pocket expenses until I reach the next level of coverage, which is almost
$2,900.00 away. That money too will come out of my pocket.
Beth, we made sure you received all your belongings that you left at our home,
even this old scale you have been asking us about. Now it is your turn to pay your debt to
nle, either in cash as agreed, or by providing the items discussed so that they can be sold.
Sincerely,
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8092 SW 115 lh Loop
Ocala, Florida 34481.
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Penelope M. Gillespie
8092 SW IISth Loop
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6356 SW 106TH PL
Map It! 8327 9002 .26
Neighborhood__________________________|
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Return to Search.
1/7/2016 9:41 PM
https://ecf.ilnb.uscourts.gov/cgi-bin/DktRpt.pl?664018363530886-L_1_0-1
MEANSNO, CLOSED
03/11/2010
06/24/2010
06/21/2010
04/19/2010
06/18/2010
Debtor
Scott Allen Bidgood
34w584 Illinois St.
Saint Charles, IL 60174
KANE-IL
SSN / ITIN: xxx-xx-4782
6
clear
Docket Text
11/13/2015 5:35 AM
https://ecf.ilnb.uscourts.gov/cgi-bin/DktRpt.pl?664018363530886-L_1_0-1
1
(40 pgs)
2
(1 pg)
3
(8 pgs)
5
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7
(3 pgs; 2 docs)
9
(3 pgs)
10
(4 pgs; 2 docs)
12
(4 pgs)
03/11/2010
03/11/2010
03/11/2010
03/11/2010
03/11/2010
03/11/2010
03/12/2010
03/12/2010
03/14/2010
04/15/2010
04/15/2010
11/13/2015 5:35 AM
https://ecf.ilnb.uscourts.gov/cgi-bin/DktRpt.pl?664018363530886-L_1_0-1
11
(1 pg)
13
14
(3 pgs; 2 docs)
15
(3 pgs)
16
04/16/2010
04/20/2010
06/21/2010
06/21/2010
06/24/2010
or
11/13/2015 5:35 AM
Case 10-10313
Doc 3
Filed 03/11/10
Document
Desc Main
In re
1A
1B
Disabled Veterans. If you are a disabled veteran described in the Declaration in this Part IA, (1) check the box at the beginning of the
Declaration, (2) check the box for "The presumption does not arise" at the top of this statement, and (3) complete the verification in Part
VIII. Do not complete any of the remaining parts of this statement.
Declaration of Disabled Veteran. By checking this box, I declare under penalty of perjury that I am a disabled veteran (as defined in
38 U.S.C. 3741(1)) whose indebtedness occurred primarily during a period in which I was on active duty (as defined in 10 U.S.C.
101(d)(1)) or while I was performing a homeland defense activity (as defined in 32 U.S.C. 901(1)).
Non-consumer Debtors. If your debts are not primarily consumer debts, check the box below and complete the verification in Part VIII.
Do not complete any of the remaining parts of this statement.
Declaration of non-consumer debts. By checking this box, I declare that my debts are not primarily consumer debts.
Reservists and National Guard Members; active duty or homeland defense activity. Members of a reserve component of the Armed
Forces and members of the National Guard who were called to active duty (as defined in 10 U.S.C. 101(d)(1)) after September 11,
2001, for a period of at least 90 days, or who have performed homeland defense activity (as defined in 32 U.S.C. 901(1)) for a period of
at least 90 days, are excluded from all forms of means testing during the time of active duty or homeland defense activity and for 540
days thereafter (the "exclusion period"). If you qualify for this temporary exclusion, (1) check the appropriate boxes and complete any
required information in the Declaration of Reservists and National Guard Members below, (2) check the box for "The presumption is
temporarily inapplicable" at the top of this statement, and (3) complete the verification in Part VIII. During your exclusion period you
are not required to complete the balance of this form, but you must complete the form no later than 14 days after the date on
which your exclusion period ends, unless the time for filing a motion raising the means test presumption expires in your case
before your exclusion period ends.
1C
Declaration of Reservists and National Guard Members. By checking this box and making the appropriate entries below, I declare
that I am eligible for a temporary exclusion from means testing because, as a member of a reserve component of the Armed Forces or the
National Guard
a.
I was called to active duty after September 11, 2001, for a period of at least 90 days and
I remain on active duty /or/
I was released from active duty on
, which is less than 540 days before this bankruptcy case was
filed;
OR
b.
7
Software Copyright (c) 1996-2010 Best Case Solutions - Evanston, IL - bestcase.com
Case 10-10313
Doc 3
Filed 03/11/10
Document
Desc Main
2
0.00 $
Income from the operation of a business, profession or farm. Subtract Line b from Line a and
enter the difference in the appropriate column(s) of Line 4. If you operate more than one
business, profession or farm, enter aggregate numbers and provide details on an attachment. Do
not enter a number less than zero. Do not include any part of the business expenses entered on
Line b as a deduction in Part V.
Debtor
Spouse
a.
Gross receipts
$
0.00 $
b.
Ordinary and necessary business expenses $
0.00 $
c.
Business income
Subtract Line b from Line a
$
0.00 $
Rents and other real property income. Subtract Line b from Line a and enter the difference in
the appropriate column(s) of Line 5. Do not enter a number less than zero. Do not include any
part of the operating expenses entered on Line b as a deduction in Part V.
Debtor
Spouse
a.
Gross receipts
$
0.00 $
b.
Ordinary and necessary operating expenses $
0.00 $
c.
Rent and other real property income
Subtract Line b from Line a
0.00 $
0.00 $
0.00 $
0.00 $
0.00 $
181.00 $
Subtotal of Current Monthly Income for 707(b)(7). Add Lines 3 thru 10 in Column A, and, if
$
Column B is completed, add Lines 3 through 10 in Column B. Enter the total(s).
181.00 $
Any amounts paid by another person or entity, on a regular basis, for the household
expenses of the debtor or the debtor's dependents, including child support paid for that
purpose. Do not include alimony or separate maintenance payments or amounts paid by your
spouse if Column B is completed.
Unemployment compensation. Enter the amount in the appropriate column(s) of Line 9.
However, if you contend that unemployment compensation received by you or your spouse was a
benefit under the Social Security Act, do not list the amount of such compensation in Column A
or B, but instead state the amount in the space below:
Unemployment compensation claimed to
be a benefit under the Social Security Act Debtor $
10
Income from all other sources. Specify source and amount. If necessary, list additional sources
on a separate page. Do not include alimony or separate maintenance payments paid by your
spouse if Column B is completed, but include all other payments of alimony or separate
maintenance. Do not include any benefits received under the Social Security Act or payments
received as a victim of a war crime, crime against humanity, or as a victim of international or
domestic terrorism.
Debtor
Spouse
181.00 $
a. Link Card (food stamps)
$
b.
$
$
Total and enter on Line 10
11
0.00 Spouse $
Case 10-10313
Doc 3
Filed 03/11/10
Document
Total Current Monthly Income for 707(b)(7). If Column B has been completed, add Line 11,
Column A to Line 11, Column B, and enter the total. If Column B has not been completed, enter
the amount from Line 11, Column A.
Desc Main
3
181.00
14
Annualized Current Monthly Income for 707(b)(7). Multiply the amount from Line 12 by the number 12 and
enter the result.
Applicable median family income. Enter the median family income for the applicable state and household size.
(This information is available by family size at www.usdoj.gov/ust/ or from the clerk of the bankruptcy court.)
a. Enter debtor's state of residence:
IL
2,172.00
46,105.00
Application of Section 707(b)(7). Check the applicable box and proceed as directed.
15
The amount on Line 13 is less than or equal to the amount on Line 14. Check the box for "The presumption does not arise" at the
top of page 1 of this statement, and complete Part VIII; do not complete Parts IV, V, VI or VII.
The amount on Line 13 is more than the amount on Line 14. Complete the remaining parts of this statement.
Complete Parts IV, V, VI, and VII of this statement only if required. (See Line 15.)
17
Marital adjustment. If you checked the box at Line 2.c, enter on Line 17 the total of any income listed in Line 11,
Column B that was NOT paid on a regular basis for the household expenses of the debtor or the debtor's
dependents. Specify in the lines below the basis for excluding the Column B income (such as payment of the
spouse's tax liability or the spouse's support of persons other than the debtor or the debtor's dependents) and the
amount of income devoted to each purpose. If necessary, list additional adjustments on a separate page. If you did
not check box at Line 2.c, enter zero.
a.
b.
c.
d.
Total and enter on Line 17
18
$
$
$
$
Current monthly income for 707(b)(2). Subtract Line 17 from Line 16 and enter the result.
$
$
19B
20A
National Standards: food, clothing and other items. Enter in Line 19A the "Total" amount from IRS National
Standards for Food, Clothing and Other Items for the applicable household size. (This information is available at
$
www.usdoj.gov/ust/ or from the clerk of the bankruptcy court.)
National Standards: health care. Enter in Line a1 below the amount from IRS National Standards for
Out-of-Pocket Health Care for persons under 65 years of age, and in Line a2 the IRS National Standards for
Out-of-Pocket Health Care for persons 65 years of age or older. (This information is available at
www.usdoj.gov/ust/ or from the clerk of the bankruptcy court.) Enter in Line b1 the number of members of your
household who are under 65 years of age, and enter in Line b2 the number of members of your household who are
65 years of age or older. (The total number of household members must be the same as the number stated in Line
14b.) Multiply Line a1 by Line b1 to obtain a total amount for household members under 65, and enter the result in
Line c1. Multiply Line a2 by Line b2 to obtain a total amount for household members 65 and older, and enter the
result in Line c2. Add Lines c1 and c2 to obtain a total health care amount, and enter the result in Line 19B.
Household members under 65 years of age
Household members 65 years of age or older
a1.
Allowance per member
a2.
Allowance per member
b1.
Number of members
b2.
Number of members
c1.
Subtotal
c2.
Subtotal
$
Local Standards: housing and utilities; non-mortgage expenses. Enter the amount of the IRS Housing and
Utilities Standards; non-mortgage expenses for the applicable county and household size. (This information is
available at www.usdoj.gov/ust/ or from the clerk of the bankruptcy court).
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Local Standards: housing and utilities; mortgage/rent expense. Enter, in Line a below, the amount of the IRS
Housing and Utilities Standards; mortgage/rent expense for your county and household size (this information is
available at www.usdoj.gov/ust/ or from the clerk of the bankruptcy court); enter on Line b the total of the Average
Monthly Payments for any debts secured by your home, as stated in Line 42; subtract Line b from Line a and enter
the result in Line 20B. Do not enter an amount less than zero.
a.
IRS Housing and Utilities Standards; mortgage/rental expense $
b.
Average Monthly Payment for any debts secured by your
$
home, if any, as stated in Line 42
c.
Net mortgage/rental expense
Subtract Line b from Line a.
$
Local Standards: housing and utilities; adjustment. If you contend that the process set out in Lines 20A and
20B does not accurately compute the allowance to which you are entitled under the IRS Housing and Utilities
Standards, enter any additional amount to which you contend you are entitled, and state the basis for your
contention in the space below:
$
22A
2 or more.
If you checked 0, enter on Line 22A the "Public Transportation" amount from IRS Local Standards:
Transportation. If you checked 1 or 2 or more, enter on Line 22A the "Operating Costs" amount from IRS Local
Standards: Transportation for the applicable number of vehicles in the applicable Metropolitan Statistical Area or
Census Region. (These amounts are available at www.usdoj.gov/ust/ or from the clerk of the bankruptcy court.)
22B
Local Standards: transportation; additional public transportation expense. If you pay the operating expenses
for a vehicle and also use public transportation, and you contend that you are entitled to an additional deduction for
you public transportation expenses, enter on Line 22B the "Public Transportation" amount from IRS Local
Standards: Transportation. (This amount is available at www.usdoj.gov/ust/ or from the clerk of the bankruptcy
$
court.)
Local Standards: transportation ownership/lease expense; Vehicle 1. Check the number of vehicles for which
you claim an ownership/lease expense. (You may not claim an ownership/lease expense for more than two
vehicles.)
1
23
a.
b.
c.
24
b.
c.
26
$
$
Subtract Line b from Line a.
Local Standards: transportation ownership/lease expense; Vehicle 2. Complete this Line only if you checked
the "2 or more" Box in Line 23.
Enter, in Line a below, the "Ownership Costs" for "One Car" from the IRS Local Standards: Transportation
(available at www.usdoj.gov/ust/ or from the clerk of the bankruptcy court); enter in Line b the total of the Average
Monthly Payments for any debts secured by Vehicle 2, as stated in Line 42; subtract Line b from Line a and enter
the result in Line 24. Do not enter an amount less than zero.
a.
25
2 or more.
Enter, in Line a below, the "Ownership Costs" for "One Car" from the IRS Local Standards: Transportation
(available at www.usdoj.gov/ust/ or from the clerk of the bankruptcy court); enter in Line b the total of the Average
Monthly Payments for any debts secured by Vehicle 1, as stated in Line 42; subtract Line b from Line a and enter
the result in Line 23. Do not enter an amount less than zero.
$
$
Subtract Line b from Line a.
Other Necessary Expenses: taxes. Enter the total average monthly expense that you actually incur for all federal,
state and local taxes, other than real estate and sales taxes, such as income taxes, self employment taxes, social
security taxes, and Medicare taxes. Do not include real estate or sales taxes.
Other Necessary Expenses: involuntary deductions for employment. Enter the total average monthly payroll
deductions that are required for your employment, such as retirement contributions, union dues, and uniform costs.
Do not include discretionary amounts, such as voluntary 401(k) contributions.
$
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Other Necessary Expenses: life insurance. Enter total average monthly premiums that you actually pay for term
life insurance for yourself. Do not include premiums for insurance on your dependents, for whole life or for
any other form of insurance.
Other Necessary Expenses: court-ordered payments. Enter the total monthly amount that you are required to
pay pursuant to the order of a court or administrative agency, such as spousal or child support payments. Do not
include payments on past due obligations included in Line 44.
29
Other Necessary Expenses: education for employment or for a physically or mentally challenged child. Enter
the total average monthly amount that you actually expend for education that is a condition of employment and for
education that is required for a physically or mentally challenged dependent child for whom no public education
providing similar services is available.
$
30
Other Necessary Expenses: childcare. Enter the total average monthly amount that you actually expend on
childcare - such as baby-sitting, day care, nursery and preschool. Do not include other educational payments.
Other Necessary Expenses: health care. Enter the total average monthly amount that you actually expend on
health care that is required for the health and welfare of yourself or your dependents, that is not reimbursed by
insurance or paid by a health savings account, and that is in excess of the amount entered in Line 19B. Do not
include payments for health insurance or health savings accounts listed in Line 34.
Other Necessary Expenses: telecommunication services. Enter the total average monthly amount that you
actually pay for telecommunication services other than your basic home telephone and cell phone service - such as
pagers, call waiting, caller id, special long distance, or internet service - to the extent necessary for your health and
welfare or that of your dependents. Do not include any amount previously deducted.
Total Expenses Allowed under IRS Standards. Enter the total of Lines 19 through 32.
31
32
33
a.
Health Insurance
b.
Disability Insurance
c.
36
Continued contributions to the care of household or family members. Enter the total average actual monthly
expenses that you will continue to pay for the reasonable and necessary care and support of an elderly, chronically
ill, or disabled member of your household or member of your immediate family who is unable to pay for such
expenses.
Protection against family violence. Enter the total average reasonably necessary monthly expenses that you
actually incurred to maintain the safety of your family under the Family Violence Prevention and Services Act or
other applicable federal law. The nature of these expenses is required to be kept confidential by the court.
37
Home energy costs. Enter the total average monthly amount, in excess of the allowance specified by IRS Local
Standards for Housing and Utilities, that you actually expend for home energy costs. You must provide your case
trustee with documentation of your actual expenses, and you must demonstrate that the additional amount
claimed is reasonable and necessary.
$
38
Education expenses for dependent children less than 18. Enter the total average monthly expenses that you
actually incur, not to exceed $137.50 per child, for attendance at a private or public elementary or secondary
school by your dependent children less than 18 years of age. You must provide your case trustee with
documentation of your actual expenses, and you must explain why the amount claimed is reasonable and
necessary and not already accounted for in the IRS Standards.
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Additional food and clothing expense. Enter the total average monthly amount by which your food and clothing
expenses exceed the combined allowances for food and clothing (apparel and services) in the IRS National
Standards, not to exceed 5% of those combined allowances. (This information is available at www.usdoj.gov/ust/
or from the clerk of the bankruptcy court.) You must demonstrate that the additional amount claimed is
reasonable and necessary.
Continued charitable contributions. Enter the amount that you will continue to contribute in the form of cash or
financial instruments to a charitable organization as defined in 26 U.S.C. 170(c)(1)-(2).
Total Additional Expense Deductions under 707(b). Enter the total of Lines 34 through 40
42
Future payments on secured claims. For each of your debts that is secured by an interest in property that you
own, list the name of the creditor, identify the property securing the debt, and state the Average Monthly Payment,
and check whether the payment includes taxes or insurance. The Average Monthly Payment is the total of all
amounts scheduled as contractually due to each Secured Creditor in the 60 months following the filing of the
bankruptcy case, divided by 60. If necessary, list additional entries on a separate page. Enter the total of the
Average Monthly Payments on Line 42.
Name of Creditor
Property Securing the Debt
Average Monthly Does payment
Payment include taxes
or insurance?
$
a.
yes no
Total: Add Lines
43
44
Other payments on secured claims. If any of debts listed in Line 42 are secured by your primary residence, a
motor vehicle, or other property necessary for your support or the support of your dependents, you may include in
your deduction 1/60th of any amount (the "cure amount") that you must pay the creditor in addition to the
payments listed in Line 42, in order to maintain possession of the property. The cure amount would include any
sums in default that must be paid in order to avoid repossession or foreclosure. List and total any such amounts in
the following chart. If necessary, list additional entries on a separate page.
Name of Creditor
Property Securing the Debt
1/60th of the Cure Amount
$
a.
Total: Add Lines
Payments on prepetition priority claims. Enter the total amount, divided by 60, of all priority claims, such as
priority tax, child support and alimony claims, for which you were liable at the time of your bankruptcy filing. Do
not include current obligations, such as those set out in Line 28.
Chapter 13 administrative expenses. If you are eligible to file a case under Chapter 13, complete the following
chart, multiply the amount in line a by the amount in line b, and enter the resulting administrative expense.
45
a.
b.
c.
46
x
Total: Multiply Lines a and b
Total Deductions for Debt Payment. Enter the total of Lines 42 through 45.
$
$
Total of all deductions allowed under 707(b)(2). Enter the total of Lines 33, 41, and 46.
Enter the amount from Line 18 (Current monthly income for 707(b)(2))
49
Enter the amount from Line 47 (Total of all deductions allowed under 707(b)(2))
50
Monthly disposable income under 707(b)(2). Subtract Line 49 from Line 48 and enter the result.
51
60-month disposable income under 707(b)(2). Multiply the amount in Line 50 by the number 60 and enter the
result.
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Initial presumption determination. Check the applicable box and proceed as directed.
52
The amount on Line 51 is less than $6,575. Check the box for "The presumption does not arise" at the top of page 1 of this
statement, and complete the verification in Part VIII. Do not complete the remainder of Part VI.
The amount set forth on Line 51 is more than $10,950 Check the box for "The presumption arises" at the top of page 1 of this
statement, and complete the verification in Part VIII. You may also complete Part VII. Do not complete the remainder of Part VI.
The amount on Line 51 is at least $6,575, but not more than $10,950. Complete the remainder of Part VI (Lines 53 through 55).
53
54
Threshold debt payment amount. Multiply the amount in Line 53 by the number 0.25 and enter the result.
Secondary presumption determination. Check the applicable box and proceed as directed.
55
The amount on Line 51 is less than the amount on Line 54. Check the box for "The presumption does not arise" at the top of page 1
of this statement, and complete the verification in Part VIII.
The amount on Line 51 is equal to or greater than the amount on Line 54. Check the box for "The presumption arises" at the top
of page 1 of this statement, and complete the verification in Part VIII. You may also complete Part VII.
Other Expenses. List and describe any monthly expenses, not otherwise stated in this form, that are required for the health and welfare of
you and your family and that you contend should be an additional deduction from your current monthly income under
707(b)(2)(A)(ii)(I). If necessary, list additional sources on a separate page. All figures should reflect your average monthly expense for
each item. Total the expenses.
Expense Description
Monthly Amount
a.
b.
c.
d.
Total: Add Lines a, b, c, and d
$
$
$
$
$
57
I declare under penalty of perjury that the information provided in this statement is true and correct. (If this is a joint case, both debtors
must sign.)
Date: 1-18-10
Signature: /s/ Scott Allen Bidgood
Scott Allen Bidgood
(Debtor)
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Case 10-10313
B18 (Official Form 18) (12/07)
Doc 15
Desc Imaged
In re: Debtor (name(s) used by the debtor(s) in the last 8 years, including married, maiden, trade,
and address):
Scott Allen Bidgood
34w584 Illinois St.
Saint Charles, IL 60174
Social Security / Individual Taxpayer ID No.:
xxxxx4782
Employer Tax ID / Other nos.:
DISCHARGE OF DEBTOR
It appearing that the debtor is entitled to a discharge, IT IS ORDERED: The debtor
is granted a discharge under section 727 of title 11, United States Code, (the Bankruptcy Code).
Case 10-10313
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Desc Imaged
This information is only a general summary of the bankruptcy discharge. There are exceptions to
these general rules. Because the law is complicated, you may want to consult an attorney to determine the
exact effect of the discharge in this case.
Case 10-10313
Doc 15
Desc Imaged
CERTIFICATE OF NOTICE
District/off: 0752-1
Case: 10-10313
User: vwalker
Form ID: b18
Page 1 of 1
Total Noticed: 27
The following entities were noticed by first class mail on Jun 23, 2010.
db
+Scott Allen Bidgood,
34w584 Illinois St.,
Saint Charles, IL 60174-6815
aty
+Erick J Bohlman,
Bohlman Law Offices, PC,
780 McArdle Dr.,
Unit F,
Crystal Lake, IL 60014-8155
tr
+Roy Safanda,
Safanda Law Firm,
111 East Side Drive,
Geneva, IL 60134-2402
15237236
+Allied Interstate Inc,
3000 Corporate Exchange Dr.,
5th Floor,
Columbus, OH 43231-7723
15237237
+Amer Rec Sys,
8501 W Higgins Rd,
Chicago, IL 60631-2801
15237238
+Aspire,
Pob 105555,
Atlanta, GA 30348-5555
15237246
+Commercial Recovery Systems, Inc.,
8035 East R.L Thornton, Ste. 220,
PO Box 570909,
Dallas, TX 75357-0909
15237247
+Debt Recovery Solution,
Attention: Bankruptcy,
Po Box 9001,
Westbury, NY 11590-9001
15237249
+Enhanced Recovery Corp,
8014 Bayberry Rd,
Jacksonville, FL 32256-7412
15237250
Erskine & Fleisher,
55 Weston Rd., Ste. 300,
Fort Lauderdale, FL 33326-1170
15237251
+Hertz Rental Cars,
225 Brae Blvd.,
Park Ridge, NJ 07656-1870
15237254
+Jefferson Capital Syst,
16 Mcleland Rd,
Saint Cloud, MN 56303-2198
15237256
Northstar Location Services, LLC,
4285 Genesee St.,
Cheektowaga, NY 14225-1943
15237257
+Pentagroup Financial LLC,
5959 Corporate Dr., Ste. 1400,
Houston, TX 77036-2311
The following entities were noticed by electronic transmission on Jun 21, 2010.
15237239
+EDI: BANKAMER2.COM Jun 21 2010 18:43:00
Bank Of America,
Po Box 17054,
Wilmington, DE 19850-7054
15237240
+EDI: BANKAMER2.COM Jun 21 2010 18:43:00
Bank Of America,
Po Box 1598,
Norfolk, VA 23501-1598
15237241
+EDI: TSYS2.COM Jun 21 2010 18:48:00
Barclays Bank Delaware,
Attention: Customer Support Department,
Po Box 8833,
Wilmington, DE 19899-8833
15237242
+EDI: CAPITALONE.COM Jun 21 2010 18:43:00
Capital 1 Bank,
Attn: C/O TSYS Debt Management,
Po Box 5155,
Norcross, GA 30091-5155
15237244
+EDI: CHASE.COM Jun 21 2010 18:43:00
Chase,
Po Box 15298,
Wilmington, DE 19850-5298
15237243
EDI: CHASE.COM Jun 21 2010 18:43:00
Chase,
Bank One Card Serv,
Westerville, OH 43081
15237245
+EDI: CITICORP.COM Jun 21 2010 18:43:00
Citgo Oil / Citibank,
Attn: Centralized Bankruptcy,
Po Box 20507,
Kansas City, MO 64195-0507
15237248
+EDI: DISCOVER.COM Jun 21 2010 18:43:00
Discover Fin Svcs Llc,
Po Box 15316,
Wilmington, DE 19850-5316
15237252
+EDI: HFC.COM Jun 21 2010 18:43:00
Hsbc Bank,
Attn: Bankruptcy,
Po Box 5253,
Carol Stream, IL 60197-5253
15237253
+EDI: HFC.COM Jun 21 2010 18:43:00
Hsbc/rs,
Attn: Bankruptcy,
961 Weigel Dr,
Elmhurst, IL 60126-1058
15237255
+EDI: RMSC.COM Jun 21 2010 18:43:00
Lowes / MBGA,
Attention: Bankruptcy Department,
Po Box 103106,
Roswell, GA 30076-9106
15237258
+EDI: SEARS.COM Jun 21 2010 18:43:00
Sears/cbsd,
Po Box 6189,
Sioux Falls, SD 57117-6189
15237259
+EDI: CITICORP.COM Jun 21 2010 18:43:00
Shell Oil / Citibank,
Attn.: Centralized Bankruptcy,
Po Box 20507,
Kansas City, MO 64195-0507
TOTAL: 13
***** BYPASSED RECIPIENTS *****
NONE.
TOTAL: 0
Addresses marked + were corrected by inserting the ZIP or replacing an incorrect ZIP.
USPS regulations require that automation-compatible mail display the correct ZIP.
I, Joseph Speetjens, declare under the penalty of perjury that I have sent the attached document to the above listed entities in the manner
shown, and prepared the Certificate of Notice and that it is true and correct to the best of my information and belief.
Meeting of Creditor Notices only (Official Form 9): Pursuant to Fed. R. Bank. P. 2002(a)(1), a notice containing the complete Social Security
Number (SSN) of the debtor(s) was furnished to all parties listed. This official court copy contains the redacted SSN as required by the
bankruptcy rules and the Judiciarys privacy policies.
Signature:
Ocala/Florida/34481
City/State/Zip: ____________________________________________________________
neilgillespie@mfi.net
Telephone (Optional): _____________________Email (Optional): ___________________
Fax (Optional): __________________________
Records requested: Provide as much specific detail as possible to help identify the
information that you are seeking. Additional pages may be attached if necessary.
_________________________________________________________________________
This is a FOIA request for a copy of the marriage record of Elizabeth Bauerle and Scott Bidgood. Mr. Bidgoods
address is shown as 34w584 Illinois St., Saint Charles, IL 60174 on his voluntary petition for chapter 7
_________________________________________________________________________
bankruptcy, Case 10-10313, U.S. Bankruptcy Court, Northern District of Illinois (Chicago).
_________________________________________________________________________
_________________________________________________________________________
I am making this FOIA as an attorney in fact for matters in the state of Florida. Sperry v. Florida, 373 U.S. 379
(1963). This FOIA affects interstate commerce, so I am also making this FOIA under the Commerce Clause,
_________________________________________________________________________
Article 1, Section 8, Clause 3, of the U.S. Constitution. I am also making this FOIA under the Equal Protection
_________________________________________________________________________
Clause of the Fourteenth Amendment to the U.S. Constitution, see the attached email. I am also making this
_________________________________________________________________________
FOIA under the Supremacy Clause, Article Six, Clause 2 of the U.S. Constitution, see the attached email.
Or do you want to review the documents in the Kane County Clerks Office? ___Yes ___No
Page 1 of 2
Neil Gillespie
From:
To:
Cc:
Sent:
Attach:
Subject:
12/23/2015
Page 2 of 2
12/23/2015
Case No.:
2013-CA-000115
Plaintiff,
v.
MARK GILLESPIE, et al.,
Defendants.
_ _ _ _ _ _ _ _ _ _ _ _ _ _ _~I
NOTICE OF DEFENDANTS' CONSENT TO ,JUDGMENT
Defendants, MARK GILLESPIE and JOEITA GILLESPIE AKA UNKNOWN SPOUSE
OF MARK GILLESPIE and ELIZABETH BAUERLE NKA ELIZABETH BIDGOOD
(hereinafter, the "Defendants"), file this Notice of Defendant's Consent to Judgment:
1.
The Defendants,
Ocala, FL 34481 based on an "event of default" under the terms of the Adjustable Rate Note
(Home Equity Conversion) a/kIa "reverse mortgage".
3.
under the terms of the subject loan. See paragraph 7(a) of the Note and 9(a) of the Mortgage.
4.
5.
The Defendants desire swift resolution to this action so they hereby give consent
10
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that I have electronically filed via the Florida Courts eFiling
Portal and furnished a true and correct copy of the foregoing to Angela M. Brenwald, Esquire, of
McCalla
Raymer
LLC,
225
E.
Robinson
S1.,
Orlando,
FL
32801,
mrservice@mccallaraymer.com; via [x] Email Delivery, today July 5, 2013.
KAUFMAN, ENGLETT & LYND, PLLC
/s/ Anthony J. Solomon
Anthony J. Solomon, Esq.
Florida Bar No. 93057
111 N. Magnolia Avenue, Suite 1600
Orlando, FL 32801
Telephone No.: (407) 513-1900
Primary Email: asolomon@kelattorneys.com
Secondary Email: KELinbox@kelattomeys.com
Attorney for Defendants:
MARK GILLESPIE and
JOETIA GILLESPIE AKA UNKNOWN SPOUSE OF
MARK GILLESPIE