Cooper v. Walker (In Re Walker)’s Empirical Analysis
1993
Citation profile
3 district ·
How this case has been cited
Cited by 13 later decisions — most recently June 2012
3 district ·
Later decisions citing this case, by decade. The current decade is in progress, and our corpus holds fewer opinions from the most recent years, so the latest bars are undercounted — not a real decline.
Relationships
Applies 11 U.S.C. § 362 · 11 U.S.C. § 523 · 11 U.S.C. § 524 · 11 U.S.C. § 554 · 11 U.S.C. § 727
Relies on Owaski v. Jet Florida Systems, Inc. · Green v. Welsh · In the Matter of Gladys E. Shondel, Debtor-Appellant · In Re Lembke · Arkansas Real Estate Commission v. Veteto
Most-quoted passages
The sentences later courts lift from this opinion, ranked by how many decisions quote each — the parts of the opinion doing the work. These counts are smaller than the citation total above because most of the 13 citing decisions cite the case generally; a passage count includes only decisions quoting that exact language verbatim.
“Upon entry of the Trustee’s Report of No Distribution, the trustee effectively abandoned any interest of the estate in the [property], 11 U.S.C. § 554 (c). Accordingly, the property, having been abandoned, the automatic stay is no longer in effect as to the [property], 11 U.S.C. § 362 (c)(1). Since the automatic stay is no longer in effect as to the property, ... the motion for relief from stay does not present a justiciable issue for the Court. [The creditor] is free to continue her litigation pending in state court, and was free to do so ... when the Report of No Distribution was filed with the Clerk.”
1 later decision quote this exact passage
How this case has been treated — in progress
Whether each later court followed, distinguished, criticized, or overruled this decision. The treatment classification (task #35) runs highest-cited cases first and lights up here as it reaches this one.