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RON ASCHIEIRIS ,FOOTHILL FINANCIAL LP ATTORNEY AMY E. MARTINEZ, GERACI LAW FIRM /// RON ASCHIERIS, JOHN ASCHIERIS of FOOTHILL FINANCIAL LP FILED A COMPLETELY FRAUD DECLARATION TO OBTAIN RELIEF OF STAY TO STEAL MY HOME OF 37 YEARS Pasadena, California
Ron Aschieris, John Aschieris, of Foothill Financial Lp and their Representing Attorney Amy E. Martinez
(SBN#245871) of the Geraci Law Firm committing FEDERAL CRIMINAL FRAUD UPON THE US BANKRUPTCY COURT OF THE CENTRAL DISTRICT OF CALIFORNIA by filing a completely "BASELESS", "FRAUDULENT motion for "RELIEF OF STAY" on July 2, 2010 against my Chapter 13 Bankruptcy Case # 2:10-20998
This Criminal Fraudulent action led to the loss and Foreclosure Trust Deed Sale of my home of over 37 years located at 7858 Melva Street Downey, Ca 90242.
To make matters worse ...My representing Attorney Rhonda K. Walker ( SBN 175108 ) Whom I have more than suspicion was working with with Foothill Financial lp and Ron Aschieris, John Aschieris.
Because ironically, even after I called informed and emailed my previous Attorney Rhonda K. Walker
(SBN#175108) the day of July 2nd, 2010 to inform her of the fraud lift of stay motion. She did not show up for the or appear to defend my case at the "Lift of Stay" hearing even though she responded to my call the day before the hearing July 8, 2010. She was absolutely : Contracted and Ethically obligated to represent me.
Because my previous Attorney Rhonda K. Walker (sbn # 175108) intentionally failed show up TO REPRESENT AND CONTESTthe BASELESS, FRAUDULENT MOTION... Foothill Financial lp and their partner Ron Aschieris, and John Aschieris along with their representing Attorney were able to obtain a " Lift of Stay " and take my longtime home to Sale on July 15, 2010... and sell it for $ 60,000.
Because of these DELIBERATE, CRIMINAL ACTIONS and Foothill Financial lps partners RON ASCHIERIS AND JOHN ASCHIERIS taking the property to trust deed sale only a week later on July 15, 2010 I even had to deal with more unlawful destruction.
To add insult to injury,
The investors that purchased my longetime home of over 30 years from Foothill Financial Lp for only $ 60,000 Hphc Properties llc... In due time Hphc Properties llc and their crew appeared unannounced and knowing all well I wanted to move all my personal belongings. I legally had the time under California Civil code 1965 of 15 days and it was only the 11 day at the time.
But while was not at the house this crew began STEALING AND DESTROYING ..LITERALLY ...EVERYTHING I OWN. They stole and used my own tools including Axes and Sledge Hammers and destroyed all of my Oak Furniture Hanging pictures, appliances, glassware, poured motor oil over all my clothing. I came back home to nearly..... NOTHING ! ****THE PICTURES BELOW OF THE ACTUAL DESTRUCTION SPEAKS FOR ITSELF ! ****
THIS should of never happened. And it ALL .... LEADS RIGHT BACK TO RON ASCHIERIS, JOHN ASCHIERIS, AND ATTORNEYS AMY E. MARTINEZ (SBN 245871), ATTORNEY RHONDA K. WALKER (SBN 175108).
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LISTED BELOW ARE ACTIONS THAT TOOK PLACE. IN THE TIMELINE IT HAPPENED, AND BY PEOPLE
WHOM INTENTIONALLY AND RECKLESSLY WERE INVOLVED. RON ASCHIERIS, JOHN ASCHIERIS, ATTORNEY RHONDA K. WALKER (SBN 175108), AMY E. MARTINEZ (SBN 245871). ALL... OF MY CLAIMS OF FRAUD ARE VERIFIABLE THROUGH THE US BANKRUPTCY COURT AS FILED DOCUMENTS IN MY CHAPTER 13 BANKRUPTCY CAS E# 2:10-20998 DEBTOR : LARRY MICHEAL RUSIN... IT CAN ALSO BE VIEWED ON THE COURTS ELECTRONIC FILING SYSTEM.. PACER.
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DOCKET ITEM # 1
1) 3/24/2010 CHAPTER 13 BANKRUPTCY CASE # 2:10-20998 FILED BY LARRY MICHAEL RUSIN
DOCKET ITEM # 25
2) 4/27/2010 341 MEETING OF CREDITORS - FOOTHILLS FINANCIAL LP PARTNER RON ASCHIERIS
ATTENDS AND IS INFORMED AND RECORDED BY CHAPTER 13 OVERSEEING TRUSTEE THAT DEBTOR RUSIN IS GOING TO BE FILING A "LIEN STRIP MOTION AGAINST JUNIOR LENDER FOOTHILL FINANCIAL LP THROUGH THE CHAPTER 13 PLAN
AS ALLOWED UNDER THE BANKRUPTCY CODE. TRUSTEE CLEARLY ON THE RECORD
EXPLAINS TO FOOTHILL FINANCIALS LP PARTNER.... RON ASCHIERIS ..THAT DURING
THE TIME UP UNTIL CONFIRMATION (JULY8TH,2010), FOOTHILL IS TREATED OR
OBLIGATED AS A "SECURED CREDITOR " AND THAT UNDER THE "GUIDELINES" SET
FORTH BY THE HONORABLE JUDGE ALAN AHART DEBTOR RUSIN IS NOT REQUIRED TO
MAKE... "ANY".. POST PETITION PAYMENTS TO FOOTHILL FINANCIAL LP.. UNDER THE
PLAN UP UNTIL CONFIRMATION OR WHENEVER THE LIEN STRIP MOTION IS DECIDED
AND THEN AFTER THAT ADJUSTMENTS MAY HAVE TO BE MADE.
3) 4/27/2010 DOCKET ITEM # 33
FILED DECLARATION OF POST PETITION PAYMENTS FOR BOTH CHAPTER 13 TRUSTEE
AND 1ST MORTGAGE LENDER OCWEN AS REQUIRED UNDER THE PLAN.
DOCKET ITEM # 37
4) 5/7/2010 MOTION TO "IMPOSE A STAY" GRANTED TO DEBTOR RUSIN WITH "ADEQUATE ORDER
ATTACHMENT" WHICH STATES "THE STAY SHALL BE IMPOSED OR CONTINUED IN
EFFECT TO THE TERMS AND CONDITIONS SET FORTH IN THE ADEQUATE PROTECTION
ORDER". THE ADEQUATE PROTECTION ORDER STATES AT THE END OF THE ORDER
" 10. OTHER (SPECIFY) MOVANT SHALL COMPLY WITH ALL BANKRUPTCY RULES AND
PROCEDURES AND MAKE ALL PAYMENTS REQUIRED UNDER THE PLAN IN A TIMELY
MANNER.
5) 5/4/2010 DOCKET ITEM # 39
DECLARATION BY FOOTHILL FINANCIAL LP REPRESENTING ATTORNEY (SBN 245871)
AMY E. MARTINEZ (PAGE #4 3. ) ON OR ABOUT APRIL 28, 2010 DEBTOR FILED AN
AMENDED CHAPTER 13 PLAN STATING THAT THE DEBTOR INTENDS TO FILE A
MOTION TO AVOID THE DEBT FOR THE SECOND LIEN HOLDER, FOOTHILL FINANCIAL
LP.
4. IT HAS BEEN MORE THAN 60 DAYS SINCE THE DEBTOR, FILED HIS BANKRUPTCY
CASE HE HAS YET TO FILE A MOTION TO AVOID A CREDITORS LIEN.
*( CLEAR PRIMA FACIA EVIDENCE THAT FOOTHILL FINANCIAL LP REPRESENTING
ATTORNEY AMY E. MARTINEZ WAS WELL AWARE DEBTOR RUSIN WAS NOT ORDERED
OR ... REQUIRED TO MAKE PAYMENTS TO FOOTHILL FINANCIAL LP )
6) 6/1/2010 DOCKET ITEM # 41
MOTION TO AVOID A LIEN FILED BY DEBTOR RUSIN
DOCKET ITEM # 43
7) 7/2/2010 FILED MOTION "FOR RELIEF OF STAY" FILED BY ATTORNEY AMY E MARTINEZ
*** COMPLETELY BASELESS AND FRAUDULENT MOTION FOR RELIEF OF STAY.***
INTENTIONAL FALSE CERTIFICATION OF POST PETITION PAYMENTS
*** VIOLATION OF RULE 9011(C)(2)***
*** AND FRAUDULENT DECLARATION BY CREDITOR FOOTHILL FINANCIAL ***
CLAIMING THAT FOOTHILL HAD NOT RECEIVED PAYMENTS THAT THEY
WERE ENTITLED TO RECEIVE FOR THE MONTHS" MAY, JUNE, JULY"
***VIOLATION OF RULE 9011(C)(2)***
*** FOOTHILL WAS NOT ENTITLED TO ANY PAYMENTS UNDER THE PLAN AND***
THE ADEQUATE PROTECTION ORDER
*** FALSE CERTIFICATION OF POST PETITION PAYMENTS
8) DOCKET ITEM # 45
7/8/2010 DECLARATION OF POST PETITION PAYMENTS TO CHAPTER 13 TRUSTEE AND TO
1ST MORTGAGE LENDER OWEN AS REQUIRED UNDER THE PLAN AND THE
ADEQUATE PROTECTION ATTACHMENT
DOCKET ITEM # 44
9) 7/8/2010 ORDER GRANTING RELIEF OF STAY TO FOOTHILL FINANCIAL LP
( *** ATTORNEY RHONDA K. WALKER (SBN 108175 FAILED TO APPEAR OR
REPRESENT DEBTOR RUSIN AS REQUIRED AND CONTRACTED WHICH ALLOWED
COMPLETELY FRAUDULENT AND BASELESS MOTION TO BE GRANTED. EVEN UNTIL HIS DAY SHE HAS MADE ... NO EFFORT TO VACATE A JUDGEMENT THAT SHE KNEW ALL ALONG WAS FRAUD AND BASELESS
***VIOLATION OF RULE 9011 (b)(2)
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I WANT JUSTICE FOR THESE INTENTIONAL, RECKLESS AND INHUMANE CRIMES. MY LIFE HAS BEEN DEVESTATED OVER THESE ACTIONS. I DO NOT WANT ANYONE TO HAVE TO GO THROUGH WHAT I HAVE HAD TO GO THROUGH.