In re Coulter (09-50458)
The debtor filed an amended Schedule C to claim as exempt a personal injury action. The trustee objected because the debtors had failed to disclose the personal injury action on their bankruptcy schedules and at the ยง 341 meeting. The court determined that the debtors had intentionally and fraudulently attempted to conceal the personal injury action and were barred from claiming an exemption in it.