The 2023 Florida Statutes (including Special Session C)
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. . . arguing the deduction for the non-expense incorrectly caused debt- or’s monthly disposable income to be $210.55 . . .
. . . Based on these figures, Ransom had disposable income of $210.55 per month. Id., at 53. . . . FIA noted that without this allowance, Ransom’s disposable income would be $681.55 — the $210.55 he reported . . .
. . . Based on these figures, Ransom had disposable income of $210.55 per month. Id., at 53. . . . FIA noted that without this allowance, Ransom’s disposable income would be $681.55 — the $210.55 he reported . . .
. . . Based on these figures, Ransom had disposable income of $210.55 per month. Id., at 53. . . . FIA noted that without this allowance, Ransom’s disposable income would be $681.55—the $210.55 he reported . . .
. . . deduction at issue in this case — in the amount of $4,038.01, and a resulting monthly disposable income of $210.55 . . . Thus, MBNA argued, Ransom’s projected disposable income should be $681.55 (the $210.55 he reported in . . .
. . . at issue in this case' — in the amount of $4,038.01, and a resulting monthly disposable income of $210.55 . . . Thus, MBNA argued, Ransom’s projected disposable income should be $681.55 (the $210.55 he reported in . . .
. . . Based on these deductions and his current monthly income, the debt- or calculated $210.55 in monthly . . . referenced Part 5, Chapter 15, Section 1 of the Manual, entitled “Financial Analysis Handbook.” . $210.55 . . .
. . . . § 210.55 et seq. (2002), this regulation does not confer jurisdiction on this Court because each of . . .
. . . the costs associated with obtaining an additional copy and ASCII diskette of a certain deposition ($210.55 . . .
. . . These purchases included a $511 charge for the benefit of "Miwall-Wholesale Ammo;” charges for $210.55 . . .
. . . . § 210.55(a)(2), if a party does file a petition for review of the ID, any issue not raised therein . . .
. . . the Trustee out of her future earnings, in the sum of $258.95 per month for ten (10) months and then $210.55 . . .
. . . ordered review of the initial determination or certain issues therein pursuant to § 210.54(b) or § 210.55 . . .
. . . STIPULATED AND AGREED that the export value as defined supra, is the invoice unit value, net, packed, less $210.55 . . . hand lanterns and 5 per centum of U.S.$155 for the clothesline kits or $7.75, equaling the sum of U.S.$210.55 . . .
. . . Pie reported in his tax returns and continues here to urge a value of $210.55 per share. . . .