11 USC 108(c) extends time limits (such as statutes of limitation) for actions against the debtor until 30 period after the automatic stay in bankruptcy is vacated. This decision holds that 108(c) extends the 10-year period in which a judgment creditor may apply for renewal of the judgment under CCP 683.130. The majority opinion also disagrees with In re Lobherr (Bankr. C.D.Cal. 2002) 282 B.R. 912, holding that the automatic stay does not bar a judgment creditor from renewing the judgment–just so long as the judgment creditor does not serve the renewal application or renewed judgment on the debtor or take any other action to enforce the old or renewed judgments. The concurrence disagrees regarding the automatic stay.