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CASB — Motion for Relief From Automatic Stay Personal Property Real Property (CSD1160_2025-12-01)

California foreclosure, tax-defaulted, court-ordered and probate-sale law and official procedures — verbatim and citable.

Edition
2026-09-26
Last updated
2026-10-05
Jurisdiction
California

CASB — CSD1160 2025-12-01.pdf

Exceptions & meaning →

Page 1

CSD 1160 [12/01/25]

Name, Address, Telephone No. & I.D. No.

UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF CALIFORNIA 325 West F Street, San Diego, California 92101-6991

In Re

BANKRUPTCY NO.
Debtor(s)

RS NO.
Moving Party

Respondent(s)

MOTION FOR RELIEF FROM AUTOMATIC STAY
REAL PROPERTY PERSONAL PROPERTY

Movant in the above-captioned matter moves this Court for an Order granting relief from the automatic stay on the

grounds set forth below.

  1. A Petition under Chapter 7 11 12 13 was filed on .

  2. Procedural Status:
    a. Name of Trustee Appointed (if any):

    b. Name of Attorney of Record for Trustee (if any):

    c. (Optional) Prior Filing Information:
    Debtor has previously filed a Bankruptcy Petition on: .
    If applicable, the prior case was dismissed on: .

    d. (If Chapter 13 case): Chapter 13 Plan was confirmed on or a confirmation hearing
    is set for .

    Movant alleges the following in support of its Motion:

  3. The following real property is the subject of this Motion:
    a. Street address of the property including county and state:

    b. Type of real property (e.g., single family residence, apartment building, commercial, industrial, condominium,
    unimproved):

    c. Legal description of property is attached as Exhibit A.

Exceptions & meaning →

Page 2

CSD 1160 [12/01/25]

d. If a chapter 11 or 13 case and if non-payment of any post-petition payment is a ground for relief, attach the
accounting required by Local Bankruptcy Rule 4001-2(a) as Exhibit B.

e. *Fair market value of property as set forth in the Debtor's schedules: $ .

f. *Nature of Debtor's interest in the property:

  1. The following personal property is the subject of this Motion (describe property):

    a. Fair market value of property as set forth in the Debtor's schedules: $ .

    b. Nature of Debtor's interest in the property:

  2. *Fair market value of property according to Movant: $ .

  3. *Nature of Movant's interest in the property:

  4. *Status of Movant's loan:
    a. Balance owing on date of Order for Relief: $
    b. Amount of monthly payment: $
    c. Date of last payment:
    d. If real property,
    i. Date of default:
    ii. Notice of Default recorded on:
    iii. Notice of Sale published on:
    iv. Foreclosure sale currently scheduled for:
    e. If personal property,
    i. Pre-petition default: $ No. of months:
    ii. Post-petition default: $ No. of months:

  5. (If Chapter 13 Case, state the following:)
    a. Date of post-petition default:
    b. Amount of post-petition default: $

  6. Encumbrances:
    a. Voluntary encumbrances on the property listed in the Schedules or otherwise known to Movant:

    (IF KNOWN)
    Lender Name Principal Balance Pre-Petition Arrearages Post-Petition Arrearages
    Total Amount - # of Months Total Amount - # of Months

1st:

2nd:

3rd:

4th: Totals for all Liens: $ 0.00 $ 0.00 $ 0.00

b. Involuntary encumbrances of record (e.g., tax, mechanic's, judgment and other liens, lis pendens) as listed
in schedules or otherwise known to Movant:
See attached page, if necessary.

*Separately filed Declaration required by Local Bankruptcy Rule 4001-2(a).

Exceptions & meaning →

Page 3

CSD 1160 [12/01/25]

  1. Relief from the automatic stay should be granted because:
    a. Movant's interest in the property described above is not adequately protected.

    b. Debtor has no equity in the real property personal property described above and this
    property is not necessary to an effective reorganization.

    c. The property is "single asset real estate", as defined in 11 U.S.C. § 101(51B), and 90 days (or
    days as ordered by this court) have passed since entry of the order for relief in this case, and

    i. the Debtor/Trustee has not filed a plan of reorganization that has a reasonable possibility of being
    confirmed within a reasonable time; and

    ii. the Debtor/Trustee has

    (1) not commenced monthly payments to each creditor whose claim is secured by the
    property (other than a claim secured by a judgment lien or by an unmatured statutory lien),
    or

    (2) commenced payments, but such payments are less than an amount equal to interest at
    a current fair market rate on the value of each creditors' interest in the property.

    d. *Other cause exists as follows (specify): See attached page.

    When required, Movant has filed separate Declarations pursuant to Local Bankruptcy Rule 4001-2(a).

    Movant attaches the following:

  2. Other relevant evidence:

  3. (Optional) Memorandum of points and authorities upon which the moving party will rely.

    WHEREFORE, Movant prays that this Court issue an Order granting the following:

    Relief as requested, including for any successor, transferee, assignee or third-party purchaser at a foreclosure sale.

    Other:

Dated:

[Attorney for] Movant

*Separately filed Declaration required by Local Bankruptcy Rule 4001-2(a).

Exceptions & meaning →

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