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BLACK HELTERLINE LLP

805 SW Broadway, Ste. 1900


Portland, OR 97205
(503) 224-5560
Page 1 of 5 OBJ ECTION TO EXEMPTIONS
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The Hon. Paul B. Snyder
Chapter 7
Federal Building
500 W. 12
th
Street, 2
nd
Floor
Vancouver, Washington 98660
Hearing Date: October 1, 2013
Hearing Time: 9:00am
Response Date: September 24, 2013










UNITED STATES BANKRUPTCY COURT
WESTERN DISTRICT OF WASHINGTON
AT TACOMA
In re

Mark A. Leonard,

Debtor.




Case No. 13-43836-PBS


OBJ ECTION TO EXEMPTIONS

Comes now Federal Deposit Insurance Corporation as Receiver for Cowlitz
Bank (Creditor) and hereby objects to the Debtor's exemptions pursuant to Bankruptcy
Rule 4003(b) and as grounds for its objection states as follows:
1. Debtor filed a voluntary petition for relief under Chapter 7 of the
Bankruptcy Code on J une 7, 2013.
. . . .
. . . .
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 1 of 29



BLACK HELTERLINE LLP
805 SW Broadway, Ste. 1900
Portland, OR 97205
(503) 224-5560
Page 2 of 5 OBJ ECTION TO EXEMPTIONS
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2. Creditor is the holder of a secured claim in the amount of $938,670.44
against the Debtor. The claim is secured by a trust deed lien on the real property located at
160 Horseshoe Bend Estates, Kelso, Washington, 98626 (Horseshoe Property) and a
judgment lien entered on J une 7, 2010 against Debtor in the matter of Cowlitz Bank v. Mark
and Serena Leonard, Cowlitz County for the State of Washington, case no. 09-2-02-188-1.
THE HORSESHOE PROPERTY
3. On or about J une 22, 2009, Debtor granted Creditor a trust deed lien in
Horseshoe Property under the express representation that he occupied the property as his
principal residence. A copy of the Deed of Trust is attached to Creditors Proof of Claim
filed as claim no. 1 in this proceeding.
4. At a deposition held on August 19, 2010 in the arbitration matter of
Leonard v. Bodgen, case no. 08-2-00408-5, Kittitas Superior Court for the State of
Washington, Debtor testified that his home address was 160 Horseshoe Bend Estates, Kelso
Washington, i.e. the Horseshoe Property. A copy of relevant pages of the official deposition
transcript is attached hereto as Exhibit A.
THE MEEKER DRIVE PROPERTY
5. In addition to the Horseshoe Property, the Debtor owns the real
property located at 5335 Meeker Drive, Kalama, Washington, 98625 (Meeker Drive
Property). The Meeker Drive Property is encumbered by Creditors judgment lien entered
on J une 7, 2010.
6. The Meeker Drive Property is used by the Debtor for commercial
purposes and as the headquarters of Tytan International, Inc., as is evidenced by the OTC
Pink Basic Disclosure Guideline issued by the Debtor on behalf of Tytan Holdings, Inc. on
J une 27, 2013. A copy of the OTC Pink Basic Disclosure Guideline is attached hereto as
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BLACK HELTERLINE LLP
805 SW Broadway, Ste. 1900
Portland, OR 97205
(503) 224-5560
Page 3 of 5 OBJ ECTION TO EXEMPTIONS
736954
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Exhibit B. The relevant information is located on pages 3-4 of the Exhibit.
7. The Debtor has leased the Meeker Street Property to Tytan Holdings,
Inc., the shell company which owns Tytan International, Inc., for use in its commercial
enterprise.
8. The Meeker Drive Property is subject to the City of Kalama Zoning
Code C-2: Highway Commercial District, which provides for commercial activities which
are dependent upon or require access by automobiles and truck, require outdoor storage or
display areas as well as off-street parking and loading areas.
DEBTORS CLAIM OF HOMESTEAD EXEMPTION
9. In his bankruptcy schedules, Debtor has claimed his Homestead
Exemption under Wash. Rev. Code Chapter 6.13 in the Meeker Drive Property rather than
the Horseshoe Property.
10. Debtor executed and recorded a Declaration of Homestead on April
26, 2013, an uncertified copy of which is attached for the courts reference as Exhibit C. The
Declaration of Homestead was issued only days prior to Creditors issuance of a Writ of
Execution on the Meeker Street Property in the matter of Cowlitz Bank v. Mark and Serena
Leonard, which occurred on April 30, 2013.
11. Prior to the Sheriffs sale scheduled for J une 14, 2013, the Debtor filed
a Proof of Claim pursuant to 12 U.S.C. 1821(d) (13) (D) with Creditor, after which Creditor
withdrew is Writ of Execution and canceled the Sherriffs sale. A copy of the relevant
Motion, supporting declaration and Order issued in case no. 09-2-02-188-1 are attached
hereto as Exhibit D.
12. RWC 60.13.040, Automatic homestead exemption- Conditions-
Declaration of homestead-Declaration of abandonment, provides:
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BLACK HELTERLINE LLP
805 SW Broadway, Ste. 1900
Portland, OR 97205
(503) 224-5560
Page 4 of 5 OBJ ECTION TO EXEMPTIONS
736954
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(1) Property described in RCW 6.13.010 constitutes a homestead
and is automatically protected by the exemption described in RCW
6.13.070 from and after the time the real or personal property is
occupied as a principal residence by the owner or, if the homestead
is unimproved or improved land that is not yet occupied as a
homestead, from and after the declaration or declarations
required by the following subsections are filed for record or, if
the homestead is a mobile home not yet occupied as a homestead
and located on land not owned by the owner of the mobile home,
from and after delivery of a declaration as prescribed in RCW
6.15.060(3)(c) or, if the homestead is any other personal property,
from and after the delivery of a declaration as prescribed in RCW
6.15.060(3)(d).
(2) An owner who selects a homestead from unimproved or
improved land that is not yet occupied as a homestead must
execute a declaration of homestead and file the same for record in
the office of the recording officer in the county in which the land
is located. However, if the owner also owns another parcel of
property on which the owner presently resides or in which the
owner claims a homestead, the owner must also execute a
declaration of abandonment of homestead on that other
property and file the same for record with the recording
officer in the county in which the land is located.
RWC 60.13.040 (emphasis added).
13. In order to establish a valid homestead exemption, an owner must
intend to reside on the property, record a declaration of homestead, and record a declaration
of abandonment of any automatic homestead or existing declared homestead. Arkison v.
Wilson (In re Wilson), 341 B.R. 21, 26 (9th Cir. BAP, 2006) quoting Arkison v. Gitts (In re
Gitts), 116 B.R. 174, 178 (9th Cir. BAP 1990). The validity of a declared Washington
homestead exemption requires focus on the time the declaration is recorded. Id.
The bottom line is that a Washington homestead declaration
must speak the truth in order to be valid.
Id. at 27, quoting Bank of Anacortes v. Cook, 10 Wn.App. 391m 517 P.2d 633,637 (1974).
. . . . .
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BLACK HELTERLINE LLP
805 SW Broadway, Ste. 1900
Portland, OR 97205
(503) 224-5560
Page 5 of 5 OBJ ECTION TO EXEMPTIONS
736954
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14. At the time Debtor recorded the Declaration of Homestead, any intent
to reside at the Meeker Drive Property was impossible because of the commercial zoning
restrictions and the lease to Tytan Holdings, Inc.
15. Debtor has failed to comply with the statutory requirements of
RCW 6.13.40. There is no declaration evidencing his abandonment of the Horseshoe
Property pursuant to RCW 6.13.040(2), as required of an owner who selects a homestead
from unimproved and improved land that is not yet occupied as a homestead.
16. Debtor has not filed the Declaration of Homestead with the good faith
intent of residing at the Meeker Street Property, but rather to thwart Creditors execution on
its judgment lien.
WHEREFORE, Creditor objects to the allowance of the exemption claimed
by debtor and moves that the claim be denied.
DATED this 29
th
day of August, 2013.
BLACK HELTERLINE LLP



By: /s/ Britta E. Warren
Ronald T. Adams, WSBA No. 36013
rta@bhlaw.com
Britta E. Warren, WSBA No. 43329
bew@bhlaw.com
Fax: (503) 224-6148
Of Attorneys for Federal Deposit Insurance
Corporation as Receiver for Cowlitz Bank
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 5 of 29



BLACK HELTERLINE LLP
805 SW Broadway, Ste. 1900
Portland, OR 97205
(503) 224-5560
CERTIFICATE OF SERVICE
736954
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CERTIFICATE OF SERVICE
I hereby certify that I served a true and correct copy of the foregoing
OBJ ECTION TO EXEMPTIONS upon:
Mark A. Leonard
PO Box 1249
Kalama, WA 98625
Debtor
GMAC Mortgage, LLC
ATTN: Bankruptcy Department
1100 Virginia Dr.
Fort Washington, PA 19034
Special Notice Request
McCarthy &Holthus, LLP
19735 10th Ave. NE, Ste. N200
Poulsbo, WA 98370
Special Notice Request


by mailing a true copy thereof in a sealed, first-class postage prepaid
envelope, to said addresses as shown above and deposited in the United States Mail at
Portland, Oregon on the date set forth below.

And upon:

Russell D. Garrett
russ.garrett@jordanramis.com
Chapter 7 Trustee
Robert C. Brungardt
evelyn638@yahoo.com
Debtors Attorney

US Trustees Office
USTPREGION18.SE.ECT@usdoj.gov
US Trustee


by electronic notification via the Courts ECF system.

DATED this 29
th
day of August, 2013.
BLACK HELTERLINE LLP


By: /s/ Britta E. Warren
Ronald T. Adams, WSBA No. 36013
rta@bhlaw.com
Britta E. Warren, WSBA No. 43329
bew@bhlaw.com
Fax: (503) 224-6148
Of Attorneys for Federal Deposit Insurance
Corporation as Receiver for Cowlitz Bank
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 6 of 29
Byers & Anderson Court Reporters/Video/Videoconferencing
Seattle/Tacoma, Washington
August 19, 2010
Mark A. Leonard
Page 5
1
BE I T REMEMBERED t hat on Thur sday,
2
August 19, 2010, at 2208 Nor t h 30t h St r eet , Tacoma,
3
Washi ngt on, at 8: 59 a. m. , bef or e Chr i st y Sheppar d,
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Cer t i f i ed Cour t Repor t er , CCR, RPR, appear ed MARK A.
5
LEONARD, t he wi t ness her ei n;
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WHEREUPON, t he f ol l owi ng pr oceedi ngs
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wer e had, t o wi t :
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<<<<<< >>>>>>
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11
MARK A. LEONARD, havi ng been f i r st dul y swor n
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by t he Cer t i f i ed Cour t Repor t er ,
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t est i f i ed as f ol l ows:
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15
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EXAMI NATI ON
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BY MR. BUNDY:
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Q Good mor ni ng, Mr . Leonar d. We have met i nf or mal l y. My
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name i s Howar d Bundy. I r epr esent Mr . Bogden and Bogden
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I nc. , t he def endant s and t he count er cl ai mant s i n t hi s
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act i on.
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Woul d you pl ease st at e your f ul l name f or t he
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r ecor d, pl ease.
24 A Mark Anthony Leonard.
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Q And what i s your home addr ess, si r ?
Exhibit A
Page 1 of 3
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Byers & Anderson Court Reporters/Video/Videoconferencing
Seattle/Tacoma, Washington
August 19, 2010
Mark A. Leonard
Page 6
1 A 160 Horseshoe Bend Estates, Kelso, Washington.
2
Q Mr . Leonar d, as we ar e si t t i ng her e t hi s mor ni ng ar e
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you - - do you have any condi t i on t hat woul d make i t
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di f f i cul t f or you t o under st and my quest i ons, t o be abl e
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t o gi ve compl et e and accur at e answer s?
6 A No, I just forgot my narcolepsy pills, and that's the one
7 that keeps you from falling asleep, so talk loud and keep
8 me awake.
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Q Do you r eal l y have an i ssue wi t h f al l i ng asl eep dur i ng
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t he day?
11 A Yeah.
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Q Okay. Have you been di agnosed wi t h any ki nd of memor y
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pr obl ems or anyt hi ng?
14 A No.
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Q You i ndi cat ed ear l i er bef or e t he r ecor d st ar t ed t hat you
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had f or got t en your hear i ng ai d. Have you now secur ed
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your hear i ng ai d and i t ' s wor ki ng?
18 A Got 'em in.
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Q Al l r i ght . Ar e you mar r i ed, si r ?
20 A No.
21
Q Ar e you r ecent l y di vor ced?
22 A A year and a half or two years -- a year or two ago.
23
Q A year or t wo ago. Do you r ecal l t he ef f ect i ve dat e of
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t he di vor ce decr ee?
25 A Not really. It seems like it was April something.
Exhibit A
Page 2 of 3
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Byers & Anderson Court Reporters/Video/Videoconferencing
Seattle/Tacoma, Washington
August 19, 2010
Mark A. Leonard
1
STATE OF WASHI NGTON ) I , CHRI STY SHEPPARD,
) ss CCR #1932, a dul y
2
Count y of Pi er ce ) Cer t i f i ed Cour t
Repor t er i n and f or t he
3
St at e of Washi ngt on
r esi di ng at Buckl ey,
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do her eby cer t i f y:
5
6
That t he f or egoi ng deposi t i on of MARK A.
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LEONARD was t aken bef or e me and compl et ed on August 19,
2010, and t her eaf t er was t r anscr i bed under my di r ect i on;
8
t hat t he deposi t i on i s a f ul l , t r ue and compl et e
t r anscr i pt of t he t est i mony of sai d wi t ness, i ncl udi ng
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al l quest i ons, answer s, obj ect i ons, mot i ons and
except i ons;
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That t he wi t ness, bef or e exami nat i on, was by me
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dul y swor n t o t est i f y t he t r ut h, t he whol e t r ut h, and
not hi ng but t he t r ut h, and t hat t he wi t ness r eser ved t he
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r i ght of si gnat ur e;
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That I amnot a r el at i ve, empl oyee, at t or ney or
counsel of any par t y t o t hi s act i on or r el at i ve or
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empl oyee of any such at t or ney or counsel and t hat I am
not f i nanci al l y i nt er est ed i n t he sai d act i on or t he
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out come t her eof ;
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That I amher ewi t h secur el y seal i ng t he sai d
deposi t i on and pr ompt l y del i ver i ng t he same t o At t or ney
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Howar d E. Bundy.
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I N WI TNESS WHEREOF, I have her eunt o set my hand
and af f i xed my of f i ci al seal t hi s 14t h day of
19
Sept ember , 2010.
20
21
22
Chr i st y Sheppar d, CCR, RPR
Cer t i f i ed Cour t Repor t er i n and f or t he
23
St at e of Washi ngt on, r esi di ng at Buckl ey.
24
25
Exhibit A
Page 3 of 3
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OTC Markets Group Inc.
OTC Pink Basic Disclosure Guidelines (v1.0 January 3, 2013) Page 1 of 6


OTC Pink Basic Disclosure Guidelines

1) Name of the issuer and its predecessors (if any)

In answering this item, please also provide any names used by predecessor entities in the past five years and the dates of
the name changes.

Tytan Holdings, Inc.
Ault Glazer & Co., Inc. until 10-2009
Remington-Hall Capital Corp. until 3-2008
Universal Fuels Co. until 2-1998
Universal Uranium.

2) Address of the issuers principal executive offices

Company Headquarters
5225 Meeker Drive
Kalama, Washington 98625
Phone: (360) 673-2278
Email: TytanTractor@yahoo.com
Website(s): www.TytanTractor.com



3) Security Information

Trading Symbol: TYTN
Exact title and class of securities outstanding: Common Stock
CUSIP: 902508 209
Par or Stated Value: .001
Total shares authorized: 43,333,333 as of: June 26, 2013
Total shares outstanding: 37,741,416 as of: June 26, 2013

Preferred share information (if necessary):
Exact title and class of securities outstanding: Preferred Class A Shares
CUSIP: N/A/
Par or Stated Value: .001
Total shares authorized: 1,000,000 as of: June 26, 2013
Total shares outstanding: 1,000,000 as of: June 26, 2013

Transfer Agent
Name: Transfer Online
512 SE Salmon Street
Portland, OR 97214
Phone: (503) 227-2950
Is the Transfer Agent registered under the Exchange Act?* Yes: No:

*To be included in the OTC Pink Current Information tier, the transfer agent must be registered under the Exchange Act.




List any restrictions on the transfer of security:

None except as required by law

Exhibit B
Page 1 of 6
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OTC Markets Group Inc.
OTC Pink Basic Disclosure Guidelines (v1.0 January 3, 2013) Page 2 of 6


Describe any trading suspension orders issued by the SEC in the past 12 months.

None

Within the past year please list any past, pending or anticipated stock split, stock dividend, recapitalization, merger,
acquisition, spin-off, or reorganization:

None

4) Issuance History

List below any events, in chronological order, that resulted in changes in total shares outstanding by the issuer in the past
two fiscal years and any interim period. The list shall include all offerings of securities, whether private or public, and all
shares or any other securities or options to acquire such securities issued for services, describing (1) the securities, (2)
the persons or entities to whom such securities were issued and (3) the services provided by such persons or entities.
The list shall indicate:

A. The nature of each offering (e.g., Securities Act Rule 504, intrastate, etc.);

The company has not issued any additional shares during the past two years


With respect to private offerings of securities, the list shall also indicate the identity of the persons who purchased
securities in such private offering; provided, however, that in the event that any such person is an entity, the list shall also
indicate (a) the identity of each natural person beneficially owning, directly or indirectly, more than ten percent (10%) of
any class of equity securities of such entity and (b) to the extent not otherwise disclosed, the identity of each natural
person who controlled or directed, directly or indirectly, the purchase of such securities for such entity.


5) Financial Statements

The Company has separately filed the following unaudited financial statements that are incorporated herein by reference
on the same date as this report.

A. Balance sheet;
B. Statement of income;
C. Statement of cash flows;
D. Financial notes; and
E. Audit letter, if audited

The financial statements have been prepared in accordance with US GAAP.

Information contained in a Financial Report is considered current until the due date for the subsequent Financial Report.
To remain in the OTC Pink Current Information tier, a company must post its Annual Report within 90 days from its fiscal
year-end date and Quarterly Reports within 45 days of its fiscal quarter-end date.

6) Describe the Issuers Business, Products and Services

Describe the issuers business so a potential investor can clearly understand the company. In answering this item, please
include the following:

A. a description of the issuers business operations;

On December 3, 2009, Tytan Holdings, Inc. completed acquisition of Tytan International, Inc., a tractor Company with
exclusive manufacturing agreements in China. With the recent explosion of the Chinese automobile Industry, there
has been a huge boom in tractor production quality. The Company intends to capitalize on this development by
introducing a new line of products not yet seen in the U.S. or Canada. Tytan expects this high quality equipment to be
competitive with what is currently available to the North American consumer of small tractors and implements.
Exhibit B
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OTC Markets Group Inc.
OTC Pink Basic Disclosure Guidelines (v1.0 January 3, 2013) Page 3 of 6



Tytan Holdings, Inc acts as a holding company for its wholly owned subsidiary, Tytan International , Inc., the
Company generates revenue through the sale of tractors and tractor implements. Tytan International, Inc.s products
are in competition with several brands in the small to medium acreage market. The Company believes that its long
standing customer and dealer relationships, quality equipment, affordable prices, and innovation are keys to the
Companys competitive edge.

Tytan Holdings, Inc. does not deal directly in the manufacturing of any product and does not rely on sources and
availability of raw materials or principal suppliers. Tytans wholly owned subsidiary, however, does rely on various
sources of raw materials and a limited number of product suppliers in China. Tytan Holdings, Inc. and its subsidiaries
have an expansive client base with no single or specific reliance on any particular investor or purchaser of the
subsidiarys products.

All products imported by Tytan International, Inc. are cleared by the US Customs Office upon entry to the US. All
engine meet and are certified for EPA Emission compliance and OSHA requirements before entry into the US market.

Tytan has certain proprietary designs that are patents approved by the United State Patent Office, United States
Patent on a Wood Chipper and also for its United States Patent 4N1 Bucket for the tractor Front Loader.


B. Date and State (or Jurisdiction) of Incorporation:

June 18, 1975, Colorado

C. the issuers primary and secondary SIC Codes;

6719,

D. the issuers fiscal year end date;

Dec 31

E. principal products or services, and their markets;

Tytan Holdings, Inc acts as a holding company for its wholly owned subsidiary, Tytan International , Inc., the
Company generates revenue through the sale of tractors and tractor implements. Tytan International, Inc.s products
are in competition with several brands in the small to medium acreage market.


7) Describe the Issuers Facilities

The goal of this section is to provide a potential investor with a clear understanding of all assets, properties or facilities
owned, used or leased by the issuer.

In responding to this item, please clearly describe the assets, properties or facilities of the issuer, give the location of the
principal plants and other property of the issuer and describe the condition of the properties. If the issuer does not have
complete ownership or control of the property (for example, if others also own the property or if there is a mortgage on the
property), describe the limitations on the ownership.

If the issuer leases any assets, properties or facilities, clearly describe them as above and the terms of their leases.

Tytan Holdings, Inc. principal office location is at 5225 Meeker Drive, Kalama, Washington 98625. This location is
also the Headquarters of Tytan International, Inc. The property is leased, and acts, not only as a corporate
headquarters but, also as a retail dealership, inventory storage, service shop, parts department, shipping depot,
and showroom.
This location is clearly viewable to the high volume traffic of Interstate 5. Signage and inventory are clearly visible
from both directions of the interstate highway. Tytan Holdings leases its facilities at 5225 Meeker Drive, Kalama,
Exhibit B
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OTC Markets Group Inc.
OTC Pink Basic Disclosure Guidelines (v1.0 January 3, 2013) Page 4 of 6


WA 98625 from Mark Leonard, its President, under a triple net lease for $4,000.00 per month. The term of the
lease is for 4 years, and ends on June 30, 2015 with an option to renew. Leonard received no rent payments
from the Company in 2012.


8) Officers, Directors, and Control Persons

The goal of this section is to provide an investor with a clear understanding of the identity of all the persons or entities that
are involved in managing, controlling or advising the operations, business development and disclosure of the issuer, as
well as the identity of any significant shareholders.

A. Names of Officers, Directors, and Control Persons. In responding to this item, please provide the names of each
of the issuers executive officers, directors, general partners and control persons (control persons are beneficial
owners of more than five percent (5%) of any class of the issuers equity securities), as of the date of this
information statement.

Mark Leonard President and Chairman of the Board


B. Legal/Disciplinary History. Please identify whether any of the foregoing persons have, in the last five years, been
the subject of:

1. A conviction in a criminal proceeding or named as a defendant in a pending criminal proceeding (excluding
traffic violations and other minor offenses);

None

2. The entry of an order, judgment, or decree, not subsequently reversed, suspended or vacated, by a court of
competent jurisdiction that permanently or temporarily enjoined, barred, suspended or otherwise limited such
persons involvement in any type of business, securities, commodities, or banking activities;

None

3. A finding or judgment by a court of competent jurisdiction (in a civil action), the Securities and Exchange
Commission, the Commodity Futures Trading Commission, or a state securities regulator of a violation of
federal or state securities or commodities law, which finding or judgment has not been reversed, suspended,
or vacated; or

None

4. The entry of an order by a self-regulatory organization that permanently or temporarily barred suspended or
otherwise limited such persons involvement in any type of business or securities activities.

None




C. Beneficial Shareholders. Provide a list of the name, address and shareholdings or the percentage of shares
owned by all persons beneficially owning more than ten percent (10%) of any class of the issuers equity
securities. If any of the beneficial shareholders are corporate shareholders, provide the name and address of the
person(s) owning or controlling such corporate shareholders and the resident agents of the corporate
shareholders.

a. Mark Leonard, CEO 500,000 Shares Series A
Exhibit B
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OTC Markets Group Inc.
OTC Pink Basic Disclosure Guidelines (v1.0 January 3, 2013) Page 5 of 6


b. Holly A. King 50,000 Shares Series A
c. Heather S. Mockovak 50,000 Shares Series A
d. Pam Copen 200,000 Shares Series B
e. Paul Stringer 200,000 Shares Series B




9) Third Party Providers

Please provide the name, address, telephone number, and email address of each of the following outside providers that
advise your company on matters relating to operations, business development and disclosure:

Legal Counsel
Jonathan D. Leinwand, P.A.
200 S. Andrews Ave.
Suite 703B
Fort Lauderdale, FL 33301
Tel (954) 903-7856
Fax (954) 252-4265


Exhibit B
Page 5 of 6
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 14 of 29
OTC Markets Group Inc.
OTC Pink Basic Disclosure Guidelines (v1.0 January 3, 2013) Page 6 of 6












10) Issuer Certification

The issuer shall include certifications by the chief executive officer and chief financial officer of the issuer (or any other
persons with different titles, but having the same responsibilities).

The certifications shall follow the format below:

I, Mark Leonard, CEO certify that:

1. I have reviewed this annual disclosure statement of Tytan Holdings, Inc.;

2. Based on my knowledge, this disclosure statement does not contain any untrue statement of a material fact or
omit to state a material fact necessary to make the statements made, in light of the circumstances under which
such statements were made, not misleading with respect to the period covered by this disclosure statement; and

3. Based on my knowledge, the financial statements, and other financial information included or incorporated by
reference in this disclosure statement, fairly present in all material respects the financial condition, results of
operations and cash flows of the issuer as of, and for, the periods presented in this disclosure statement.

June 27, 2013

/s/ Mark Leonard, CEO

/s/ Mark Leonard, CFO


Exhibit B
Page 6 of 6
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 15 of 29
Ater Recording Return To:
Mark Leonard
P.O. Box 1249
Kalama, WA 98625
3478590
OA 126/2013 12:48:30 PM Pages: 3
Declaration Of Homestead FP~ITq BALDMIN 74. 0
Cowlitz County Washington
Illffll fHlll III ICI 1111111 II~II III nll IIIII Inn III~II III IIIII INII IU D IIII IIII
DECLARATION OF HOMESTEAD
I, Mark Leonard, declare under p enalty of p erj ury under the laws of the State of
Washington as follows:
A. That I am the owner of the b uilding and real p rop erty located at 5225
Meeker Driv e, Kalama, and Cowlitz County, WA 98625 and intend to reside thereon and
claim the b uilding and real p rop erty thereon as my homestead.
B. The legal descrip tion of the p remises is:
See exhib it "A" attached hereto and b y this reference incorp orated herein
C. The estimated actual cash v alue of the p rop erty is $ ~~~ ~
SIGNED AND DATED in 9Ck
~4.ftt~t , Washington this d~ day of
2013.
Mark Leonard
Declaration oj llomestead, Page !af2
Exhibit C
Page 1 of 3
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 16 of 29
3478590 04/26/2Q13 12:48:30 PM 2 of 3
HMSTD ANITi4 BALDWIN
C ow l it z C ount y, WA
STATE OF WASHINGTON )
s s .
C OUNTY OF C ~VJLITZ )
ON THIS DAX p e r s ona l l y a p p e a r e d b e for e me Ma r k Le ona r d , t o me know n t o b e
t h e ind iv id ua l d e s c r ib e d in t h e for e g oing ins t r ume nt , a nd a c know l e d g e d t o me il ia t h e
s ig ne d t h e s a me a s h is fr e e a nd v ol unt a r y a c t a nd d e e d for t h e us e s a nd p ur p os e s
me nt ione d t h e r e in.
GIVEN und e r my h a nd a nd offic ia l s e a l t h is (, d a y of ~,;,_ , 2013.
SUE Sg ,,gJ
~`Sg t iON F~ '
Q~
U NOTARY
~' PUBLIC
~9~ qy 10 ~
,6
~'F w e c t l ~~
De c l a r a t ion ojNome s t e a d , Pa g e 2 of 2
~T~~~
NOTARY PUBLIC m t t nd for t h e St a t e of
Wa s h ing t on, r e s id ing a t /(~}
v ks ,r . A-
My c ommis s ion e x p ir e s : ~'- ~c ~ - l (e
Exhibit C
Page 2 of 3
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 17 of 29
3478590 04/26/2013 12:48:30 PM 3 of 3 Cowlitz County, WA
HMSTD ANITA BALDWIN
Pa r c e l 1:
A p or tion of th a Ja me s Roc ke y Dona tion La nd Cia fm in Se c t( on 8, 7ownsh lp 8 h for th , Ra nge
t We st of th e n Willa me tte Me r idia n de sc r ib e d a s follows:
8sginning a t th e se c tion c ome r c ommon to Se c tions 5,8,7, a nd S In sold Tt~ wnsh ip a nd
Ra nge ;
Th e nc s Nor th 59 15' DO We st a dista nc e of 492. 2 te a t to a p oint on th e c e nte r fine of O ld
PQ~ ic H( gh wa y;
Th e nc e South 17 25' i 1' We st a dista nc e of 2~ i. t3 fe e t to a fa int on th e e a c tf~ on line
b e twe e n Se c tloi~ s 6 a nd 7;
Th e r tc a h lor th b 5 45' 12" We st a dista nc e of 957. 66 fe e t,
Th e nc e Nor th 88 24' S3" We st a dlsta na e of g28. 19 fa st:
Th e c a Nor th 1~ 23' S3" Wsst a dista nc e of X 80. 38 fe a t;
Th e nc e Souta r 88 24' b 3" E a st a dista nc e of 221. 64 fle e t to th ~ tr ua p oint of b e ginning;
Th e nc e h la tth 39 40' ~ 3. We st a dista nc e of 450. 48 ie a t:
Th e nc e Soufh 73 33' S6" We st a dista nc e of 28' ,28 fe e l to th e E a st line of tfia r igh t of wa y of
Ir nsr sta te High wa y No. 6 v ~ ic h p oint sfia lt b e . known a s p oint "A` ; Th e nc e Nor th we ste r ly
a long sold E a st Ifne to a n ir ~ te r se c tlon wfth th e
South we ste r ly r igh t of wa y sine of O fd Pa c ific
High wa y;
Th e nc e South e a ste r ly a long th e South wa ste r ( y r igh t of wa y line of ~ 1d F a dfic Hl~ h wa y to a
p oint wh ic h is due E a si of th e tr ue p oint of b e ginning;
Th e nc e We st a dista nc e of 191 fe e t mor e or le ss to th e tr ue p oint of b e ginn( ng.
E x c e p t th a t p or 7b n c onv e ye d unde r Auditor ' s F IIe No, 90082y027.
Pa r c e l 2:
A V a st of la nd { oc a fe d with in ih a Ja me s Roc ke y Dona tion La nd Cia lm 1n Se c tion 6, Townsh ip
6 Nor th , Ra nge i We st of th e 1Nllla me tte Me r ld( a n mor e p a r tic uta r fy de sc r ib e d a s fflllows:
Be glnnin~ a t th e sa lon c or ne r c ommon to Se c tions 5,8,7, a nd 8. Townsh ip 6 Nor th , Ra nge
1 We st of th e Willa me tte Me r idia n;
Th e nc e Nor th 59 15' 00" We st ~ dista nc e of 492. 20 fe e t to a p a int on th e c sc r te r l~ ne of th e
O ld Pa ~ c ffic High wa y;
Th e nc e . South 17 25' 1 t" We st a dista nc e of 251. 13 fe a t to a n Ir on p ip e on th e se c tion Ifne
b e twe e n Se c tion 6 a nd 7;
Th e nc e Nor th b 5 45' ~ 2 We st a dista nc e of 951. 65 fe e t to a n Ir on p ip e wh ic h is a p r op e r ty
c ome r of la nd sa ki to Mr . J. Ada ms:
Th e nc e . Nor th . 86 24' 53" We st a dista nc e of 428. 18 fe e t;
Th e nc e Nor th 13 23' S3' We sk a dlsia nc e a t 464. 38 ia e t to th e tr ue p oint of b e gfnn{ n~ :
Th e nc e South 88 24' S3" E a st a dista nc e of 227. 64 fe e t;
Th e nc e Nor th 39' 40' 53 We sf a dista nc e of X 49. 93 fe e t to th e South e a st c or ne r of a tr a c t
of Ia nd de sc r ih a d ( n Auditor ' s F ile No. 8i 1028032:
Th e nc e South 65 51' 29" We si 118. 90 fe e t to th e E a ste r ly r igh t of wa y 1( ne of 1- 5; Th e noe
a ( a ng sold 1- 5 r igh t of wa y Ifne South e a ste r ly in th e tNe p olr r t of b e ginn( ng.
Situa te 1n th e County of Cowlitz, S1a ta of Wa sh tngton
E X HIBIT "A"
Exhibit C
Page 3 of 3
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 18 of 29
Exhibit D
Page 1 of 11
1
2
3
4
5
6
7
8
IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON
FOR THE COUNTY OF COWLITZ
9 COWLITZ BANK, a Washington chartered
commercial banle,
10
Plaintiff,
11
vs.
12
MARK LEONARD and SERENA
13 LEONARD, husband and wife,
14 Defendant.
15
Case No. 09-2-02188-1
PLAINTIFF'S MOTION TO
WITHDRAW WRIT OF EXECUTION
AND CANCEL SHERIFF'S SALE
16 The Federal Deposit Insurance Corporation as Receiver ("FDIC-R") for
17 plaintiff Cowlitz Banle ("Plaintiff') moves this court to withdraw its Writ of Execution issued
18 by this Court on April 25, 2013 directing the Cowlitz County Sheriff to satisfy Plaintiffs
19 judgment against defendant Mark Leonard ("Leonard") out of real property owned by
20 Leonard located at 5225 Meeker Drive in Kalama, WA 98625 and to order the cancellation
21 of the sale currently scheduled for June 14,2013.
22 This motion is supported by the following points and authorities and the
PLAINTIFF'S MOTION TO WITHDRAW WRIT AND CANCEL SALE
Page 1 of5
689371
BLACK HELTERLINE LLP
805 SW Broadway, Ste. 1900
Portland, OR 97205
(503) 224-5560
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 19 of 29
Exhibit D
Page 2 of 11
1 declaration of Ronald T. Adams, filed herewith.
2 FACTS
3 On April 25, 2013, this Court issued a Writ of Execution directing the Cowlitz
4 County Sheriff to satisfy Plaintiff s judgment against Leonard out of real property owned by
5 Leonard located at 5225 Meeker Drive in Kalama, WA 98625.
6 On April 30, 2013, the issued Writ of Execution was delivered to the Cowlitz
7 County Sheriffs office with a letter of instruction and the necessary fees to begin the process
8 for the Sheriffs sale. On May 8, 2013, the Sheriffs office provided notice of the sale to the
9 judgment debtor, Leonard. Service of the notice by mailing and posting was completed by
10 the Sheriffs office on the same day. Service of the notice by mailing was also completed on
11 May 9, 2013 by the judgment creditor's counsel as required by RCW 6.21.030(1).
12 The Sheriffs sale is currently scheduled for June 14,2013 at 10:00 am.
13 On May 24,2013, Leonard filed a late Proof of Claim with the FDIC-R
14 ("Claim"). The Claim form provides: "The penalty for knowingly making or inviting
15 reliance on a false, forged, or counterfeit statement, document, or thing for the purpose of
16 influencing in any way the action of the Federal Deposit Insurance Corporation is a fine of
17 not more than $1,000,000 or imprisonment for not more than 30 years or both (18 U.S.C.
18 Section 1007)." Thereafter, in the Claim, Mr. Leonard states:
19 "The recent FDIC posting in Cowlitz County (Affidavit of
Mailing and posting) was filed on 5/9/2013. * * *Totally
20 untrue, as are the charges listed in Adam's documents that
Mark Leonard has been uncooperative or that the Kalama
21 facility is not a home dwelling per the Homestead Act etc."
22 (emphasis added)
PLAINTIFF'S MOTION TO WITHDRAW WRIT AND CANCEL SALE
Page 2 of5
689371
BLACK HELTERLINE LLP
805 SW Broadway, Ste. 1900
Portland, OR 97205
(503) 2245560
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 20 of 29
Exhibit D
Page 3 of 11
1
2 A.
3
POINTS AND AUTHORITIES
Relevant Law
RCW 6.13.040 automatically exempts up to $125,000 from the execution sale
4 of a homestead property described in RCW 6.13.010. The basic homestead definition is "real
5 or personal property the owner uses as a residence." RCW 6.13.010(1). Properties which are
6 exempted from a homestead claim under RCW 6.13.080 do not exclude commercial
7 warehouse properties, leaving open the possibility that an owner could homestead a
8 warehouse property. Because ofthe automatic nature of a homestead claim, it is necessary to
9 contest the claim as provided by RCW 6.13.070(2).
10 B. Analysis
11 Until the FDIC-R can determine if the property can be claimed as a homestead
12 by Leonard, and if so, whether the value of the property exceeds the homestead exemption of
13 $125,000, the FDIC-R does not wish to force the sale of the property used by Tytan
14 International, Inc. as its business.
15
16
17
18
19
20
21
22
CONCLUSION
For the reasons set forth above, Plaintiff requests that the court grant its
PLAINTIFF'S MOTION TO WITHDRAW WRIT AND CANCEL SALE
Page 3 of5
689371
BLACK HELTERLINE LLP
805 SW Broadway, Ste. 1900
Portland, OR 97205
(503) 224-5560
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 21 of 29
Exhibit D
Page 4 of 11
1 motion and withdraw the Writ of Execution issued April 25, 2013 and the cancel the sale
2 currently scheduled for June 14,2013.
3 DATED this (OP- day of June, 2013.
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
BLACK HELTERLINE LLP
~ J ~ / l ' fJ1'( ----=-"JA L_ ~
By: J ~ d v l.C{)I-e) , CYVVv
Ronald T. Adams, WSBA No. 36013
rta@bhlaw.com
Fax: (503) 224-6148
Of Attorneys for FDIC as Receiver for
Plaintiff Cowlitz Bank
PLAINTIFF'S MOTION TO WITHDRAW WRIT AND CANCEL SALE
Page 4 of5
689371
BLACK HELTERLINE LLP
805 SW Broadway, Ste. 1900
Portland, OR 97205
(503) 224"5560
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 22 of 29
Exhibit D
Page 5 of 11
1 CERTIFICATE OF SERVICE
2 I hereby certify that I served a true and correct copy of the foregoing
3 PLAINTIFF'S MOTION TO WITHDRAW WRIT OF EXECUTION AND CANCEL
4 SHERIFF'S SALE, DECLARATION OF RONALD T. ADAMS IN SUPPORT, and
5 proposed ORDER upon:
6 Mark Leonard
160 Horseshoe Bend Estates
7 Kelso, WA 98626
8 Mark Leonard
P.O. Box 1249
9 Kalama, WA 98625
10 by mailing a true copy thereof in a sealed, first-class postage prepaid
envelope, addressed to said attorneys' addresses as shown above and deposited in the United
11 States Mail at Portland, Oregon on the date set forth below.
12 D by causing a true copy thereof to be hand-delivered to said attorneys'
addresses as shown above on the date set forth below.
13
D by sending a true copy thereof via overnight courier in a sealed, prepaid
14 envelope, addressed to said attorneys' address as shown above on the date set forth below.
15 D by faxing a true copy thereof to said attorneys' facsimile numbers as
shown above on the date set forth below.
16
17
18
Dby sending a true copy thereof via electronic mail to said attorneys'
addresses as shown above on the date set forth below.
DATED this ({5
7
lr;;y"of June, 2013.
20
21
22
19 BLACK HELTERLINE LLP
, .. ,.....
By: I
Ronald T. Adams, WSBA No. 36013
rta@bhlaw.com
Of Attorneys for FDIC as Receiver for
Plaintiff Cowlitz Bank
PLAINTIFF'S MOTION TO WITHDRAW WRIT AND CANCEL SALE
Page 5 of5
689371
BLACK HELTERLINE LLP
805 SW Broadway, Sle, 1900
Portland, OR 97205
(503) 224-5560
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 23 of 29
Exhibit D
Page 6 of 11
1
2
3
4
5
6
7
8
9
IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON
FOR THE COUNTY OF COWLITZ
10 COWLITZ BANK, a Washington chartered
commercial banle,
11
Plaintiff,
12
vs.
13
MARK LEONARD and SERENA
14 LEONARD, husband and wife,
Case No. 09-2-02188-1
DECLARATION IN SUPPORT OF
PLAINTIFF'S MOTION TO
WITHDRAW WRIT OF EXECUTION
AND CANCEL SHERIFF'S SALE
15
16
Defendant.
17 State of Oregon )
) ss.
18 County of Multnomah )
19
20 1.
I, Ronald T. Adams, being first duly sworn, depose and say:
On Apri125, 2013, this Court issued a Writ of Execution directing the Cowlitz
21 County Sheriff to satisfy Plaintiff s judgment against defendant Mark Leonard ("Leonard")
22 out of real property owned by Leonard located at 5225 Meeker Drive in Kalama, WA 98625.
DECLARATION IN SUPPORT OF PLAINTIFF'S MOTION TO WITHDRAW WRIT
AND CANCEL SALE Page 1 of 2 689378
BLACK HELTERLINE LLP
805 SW Broadway, Ste. 1900
Portland, OR 97205
(503) 224-5560
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 24 of 29
Exhibit D
Page 7 of 11
1 2. On April 30, 2013, the issued Writ of Execution was delivered to the Cowlitz
2 County Sheriff s office with a letter of instruction and the necessary fees to begin the process
3 for the Sheriff s sale.
4 3. On May 8, 2013, the Sheriffs office provided notice of the shale to the
5 judgment debtor. Service of the notice by mailing and posting was completed by the Sheriffs
6 office on the same day. Service of the notice by mailing was also completed on May 9,2013
7 by the judgment creditor's counsel as required by RCW 6.21.030(1).
8
9
4.
5.
The Sheriffs sale is currently schedule for June 14, 2013 at 10:00 am.
On May 24,2013, Leonard filed a late Proof of Claim with the FDIC alleging
10 that the real property located at 5225 Meeker Drive in Kalama, WA 98625 was a "home
11 dwelling per the Homestead Act." A copy of the cover page and page 8 of the Proof of Claim
12 is attached as Exhibit A.
13 I HEREBY DECLARE THAT THE ABOVE STATEMENTS ARE TRUE
14 TO THE BEST OF MY KNOWLEDGE AND BELIEF, AND THAT I UNDERSTAND IT
15 IS MADE FOR USE AS EVIDENCE IN COURT AND IS SUBJECT TO PENALTY FOR
16 PERJURY.
17
18
19
20
21
22
/ ..-17

DATED this day of June, 2013.

Ronald T. Adams
DECLARATION IN SUPPORT OF PLAINTIFF'S MOTION TO WITHDRAW WRIT
AND CANCEL SALE Page 2 of2 689378
BLACK HELTERLINE LLP
805 SW Broadway, Ste, 1900
Portland, OR 97205
(503) 2245560
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 25 of 29
Exhibit D
Page 8 of 11
Claimant ID: NS1027501091, Barcode Value: FD00118456, Fund: 10275
Federal Deposit Insurance Corporation
as Receiver for
The Cowlitz Bank, Longview, WA
PROOF OF CLAIM
REDACTED
1. SSNffax 10 No.
2, The undersigned !1a.r k L--eQ\I\Q.t'J
(Name of person completing tile Proof of Claim)
hereby states that the subject Financial Institution, now In:liquldatlQn ("Failed Institution"), Is Indebted
3. to lYle.. (j\ r",f-er Vl Q:D/1\ {I.. f I Tn (, , (the 'Claimant") In the sum of
(Name of Claimant)
4. $ / \ S- WIll/;0 VI
5. Description of Claim
8. FIRM
9. ADDRESS
(CltY,Stale, and ',ZIP Code)
10, TELEPHONE NUMBER(S)
The penalty for knoWingly making or InViting reliance on a false, forged, or counterfeit statement, document, or thing for the purpose of
Influencing In any way the action of the Federal Deposit Insurance Corporation Is afine of not more than $1,000,000 or Imprisonment for not
more than 30 years or both (18 U.SiC. Secllon 1007),
IMPORTANT NOTE: The bar code at the top of this Proof of Claim Is unique to this claim and may not be re-used for other claims which you
may have or by other potential claimants, If you 'have other unrelated claims, you must file a separate Proof of Claim with Its own unique bar
code. Additional Proof of Claim forms may be found on the FDIC web slta or obtained by mall at the respective addresses Indicated In the
Instructions, Reuse of this Proof of Claim may result In processing delays or the rejection of your olaim.
PRIVACY ACTS'f.ATEMENT
The FDIC Is authorized to request this Information from you by 12 U,S,C, 1819, 1821, and l:!xecutlve Order 9397, The purpose for
collecting the Information Is 10 support the administration of claims against the failed financial Institutlon,Furnlshlng the requested
information Is voluntary, but failure to provide the requested Information In whole or In part may delay or prohibit the processing of your
claim, The Information prOVided by Individuals is protaeted by the Privacy Act, 6 USC 562(a). The Information may be furnished to third
parties as authorized by law or used according to any of the routine uses described In the FDIC Insured Financial Institution Liquidation
Records (3064-0013) System of Records. This System of Records Is available for review at www,fdlc.govlregulatlonsllawslrulesl2000
If you have questions or ooncerns about the collecllon or use of the Information, you may contact the FDIC's
Chief Privacy Officer at Pr!vaoy@fdlc.gev,
FDIC 7200/19 (12-12)
Exhibit A
Page 1 of 2
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 26 of 29
Exhibit D
Page 9 of 11
REDACTED
The recent FDIC posting in Cowlitz County (Affidavit of
Mailing and posting) was filed on 5/9/2013. It was on the Ihub
talkforum posting same day under the posters alias name of
"Anvil" ho added his bias conclusions. It has nowbeen removed.
Tytan still has never beensent that document! Furthermore that
document says that Mark Leonard is his own attorney and has
not hadlegal counsel since Wes Johnson handled the case. Atty
Adams has had numerous correspondences with Michael Long
and Matt Anderson. Totally untrue, as are the charges listed in
Adam's documents that Mark Leonard has been uncooperative
or that the Kalama facility is not a home dwelling per the
Homestead Act etc.
REDACTED
Exhibit A
Page 2 of2
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 27 of 29
Exhibit D
Page 10 of 11
1
2
3
4
5
6
7
8
9
ENDORSED FILED
SUPERIOR COURT
JUN 10 2013
COWLITZ COUNTY
BEVERLY RLITTLE, Clerk
SUPERIOR COURT OF WASHINGTON
FOR COWLITZ COUNTY
10 COWLITZ BANK, a Washington chartered
commercial bank,
11
Plaintiff,
12
vs.
13
MARK LEONARD and SERENA
14 LEONARD, husband and wife,
Case No. 09-2-02188-1

ORDER GRANTING MOTION TO
WITHDRAW WRIT OF EXECUTION
AND TO CANCEL SHERIFF'S SALE
15
16
17
Defendant.
The Court having CONSIDERED the Motion to Withdraw Writ of Execution
18 and Cancel Sale filed herein by the Federal Deposit Insurance Corporation as Receiver for
19 Cowlitz Banle dba Bay Banlc, and it appearing that the FDIC as Receiver's Motion is well-
20 taken in light of the undisputed facts presented to this Court,
21
22
ORDER GRANTING MOTION TO WITHDRAW WRIT AND
CANCEL SALE Page 1 689383
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 28 of 29
Exhibit D
Page 11 of 11
1 IT IS HEREBY ORDERED that the Federal Deposit Insurance Corporation as
2 Receiver for Cowlitz Bank's Motion to Withdraw Writ of Execution and Cancel Sale is
3 GRANTED, that the Writ of Execution is withdrawn, and that the sale scheduled for June 14,
4 2013 at 10: 00, or any postponement of such sale, is cancelled.
5
6
7
8
9
10 Submitted by:
DATED this::L day 2013.
MICHAEL H.EVANS
Superior Court Judge
13
15
12
11 BLACK HELTERLINE LLP

By:J", 0\ )
Ronald T. Adams, WSBA No. 36013
14 rta@bhlaw.com
Fax: (503) 224-6148
Of Attorneys for FDIC as Receiver
for Plaintiff Cowlitz Bank
16
17
18
19
20
21
22
ORDER GRANTING MOTION TO WITHDRAW WRIT AND
CANCEL SALE Page 2 689383
Case 13-43836-PBS Doc 27 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 29 of 29



BLACK HELTERLINE LLP
805 SW Broadway, Ste. 1900
Portland, OR 97205
(503) 224-5560
Page 1 of 2 NOTICE OF OBJ ECTION TO EXEMPTIONS
AND HEARING 737571
1
2
3
4
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6
7
8
9
10
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24
The Hon. Paul B. Snyder
Chapter 7
Federal Building
500 W. 12
th
Street, 2
nd
Floor
Vancouver, Washington 98660
Hearing Date: October 1, 2013
Hearing Time: 9:00am
Response Date: September 24, 2013












UNITED STATES BANKRUPTCY COURT
WESTERN DISTRICT OF WASHINGTON
AT TACOMA

In re

Mark A. Leonard,

Debtor.




Case No. 13-43836-PBS


NOTICE OF OBJ ECTION TO
EXEMPTIONS AND HEARING
THEREON

The Federal Deposit Insurance Corporation, as Receiver for Cowlitz bank has
filed an Objection to Exemptions.
PLEASE TAKE NOTICE THAT THE HEARING IS SET as follows:
J UDGE: Paul B. Snyder TIME: 9:00 am

PLACE: Vancouver, WA DATE: October 1, 2013

IF YOU OPPOSE the Motion, you must file your written response with the
Court Clerk, serve two (2) copies on the J udges chambers, and deliver copies to the
Case 13-43836-PBS Doc 27-1 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 1 of 3



BLACK HELTERLINE LLP
805 SW Broadway, Ste. 1900
Portland, OR 97205
(503) 224-5560
Page 2 of 2 NOTICE OF OBJ ECTION TO EXEMPTIONS
AND HEARING 737571
1
2
3
4
5
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7
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undersigned at the Black Helterline LLP law firm NOT LATER THAN THE RESPONSE
DATE, which is September 24, 2013.
IF NO RESPONSE IS TIMELY FILED AND SERVED, the Court may, in its
discretion, GRANT THE MOTION PRIOR TO THE HEARING, WITHOUT FURTHER
NOTICE, and strike the hearing.
DATED this 29
th
day of August, 2013.
BLACK HELTERLINE LLP



By: /s/ Britta E. Warren
Ronald T. Adams, WSBA No. 36013
rta@bhlaw.com
Britta E. Warren, WSBA No. 43329
bew@bhlaw.com
Fax: (503) 224-6148
Of Attorneys for Federal Deposit Insurance
Corporation as Receiver for Cowlitz Bank
Case 13-43836-PBS Doc 27-1 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 2 of 3



BLACK HELTERLINE LLP
805 SW Broadway, Ste. 1900
Portland, OR 97205
(503) 224-5560
CERTIFICATE OF SERVICE
737571
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CERTIFICATE OF SERVICE
I hereby certify that I served a true and correct copy of the foregoing NOTICE
OF OBJ ECTION TO EXEMPTIONS AND HEARING THEREON upon:
Mark A. Leonard
PO Box 1249
Kalama, WA 98625
Debtor
GMAC Mortgage, LLC
ATTN: Bankruptcy Department
1100 Virginia Dr.
Fort Washington, PA 19034
Special Notice Request
McCarthy &Holthus, LLP
19735 10th Ave. NE, Ste. N200
Poulsbo, WA 98370
Special Notice Request


by mailing a true copy thereof in a sealed, first-class postage prepaid
envelope, to said addresses as shown above and deposited in the United States Mail at
Portland, Oregon on the date set forth below.

And upon:

Russell D. Garrett
russ.garrett@jordanramis.com
Chapter 7 Trustee
Robert C. Brungardt
evelyn638@yahoo.com
Debtors Attorney

US Trustees Office
USTPREGION18.SE.ECT@usdoj.gov
US Trustee


by electronic notification via the Courts ECF system.

DATED this 29
th
day of August, 2013.
BLACK HELTERLINE LLP


By: /s/ Britta E. Warren
Ronald T. Adams, WSBA No. 36013
rta@bhlaw.com
Britta E. Warren, WSBA No. 43329
bew@bhlaw.com
Fax: (503) 224-6148
Of Attorneys for Federal Deposit Insurance
Corporation as Receiver for Cowlitz Bank
Case 13-43836-PBS Doc 27-1 Filed 08/29/13 Ent. 08/29/13 17:26:07 Pg. 3 of 3

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