9th Cir.
10-1465

The court of appeals affirmed a bankruptcy court order confirming a chapter 13 plan. The court held that debtors who devoted the requisite disposable income, as defined by the Bankruptcy Code, to paying unsecured creditors met the requirement that their plan be proposed in good faith, even though they could have paid more to their unsecured creditors if they had stopped paying certain secured creditors amounts that were statutorily permitted.