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Full title: Certification of Counsel Regarding Order Approving Stipulation By and Between the Debtors and Grainger Companies, Inc. d/b/a Grainger Honda, Grainger Nissan, Inc. and Certain Underwriters at Lloyd's, London Subscribing to Policy No. VOSAPD00142-01 as Subrogees of Grainger Companies, Inc. d/b/a Grainger Honda and Grainger Nissan, Inc. Regarding Relief from the Automatic Stay Under 11 U.S.C. Section 362 to Pursue Insurance Claim Filed by Comcar Industries, Inc.. (Attachments: # 1 Exhibit A - Proposed Order) (Brown, Stuart) (Entered: 04/30/2021)

Document posted on Apr 29, 2021 in the bankruptcy, 3 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

Debtors. : : ---------------------------------------------------------------x CERTIFICATION OF COUNSEL REGARDING ORDER APPROVING STIPULATION BY AND BETWEEN THE DEBTORS AND GRAINGER COMPANIES, INC. D/B/A GRAINGER HONDA, GRAINGER NISSAN, INC. AND CERTAIN UNDERWRITERS AT LLOYD’S, LONDON SUBSCRIBING TO POLICY NO.The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification number, are: 9th Place Newberry, LLC (0359); 16th Street Pompano Beach, LLC (0278); CCC Spotting, LLC (0342); CCC Transportation, LLC (1058); Charlotte Avenue Auburndale, LLC (2179); Coastal Transport, Inc. (2918); Coastal Transport Logistics, LLC (7544); Comcar Industries, Inc. (8221); Comcar Logistics, LLC (2338); Comcar Properties, Inc. (9545); Commercial Carrier Corporation (8582); Commercial Carrier Logistics, LLC (7544); Commercial Truck and Trailer Sales Inc. (0722); Cortez Blvd.Brooksville, LLC (2210); CT Transportation, LLC (0997); CTL Distribution, Inc. (7383); CTL Distribution Logistics, LLC (7506); CTL Transportation, LLC (0782); CTTS Leasing, LLC (7466); Detsco Terminals, Inc. (9958); Driver Services, Inc. (3846); East Broadway Tampa, LLC (2233); East Columbus Drive Tampa, LLC (3995); Fleet Maintenance Services, LLC (1410); MCT Transportation, LLC (0939); Midwest Coast Logistics, LLC (7411); Midwest Coast Transport, Inc. (0045); New Kings Road Jacksonville, LLC (4797); Old Winter Haven Road Auburndale, LLC (4738); W. Airport Blvd. (collectively the “Grainger Plaintiffs”) asserted property damage claims against Debtors CCC Transportation, LLC, Commercial Carrier Logistics, LLC and Coastal Transport, Inc. arising from the dispersal of dry cement dust across business property and inventory and resulting damage to the same that occurred prior to the Petition Date.

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE ---------------------------------------------------------------x : Chapter 11 In re: : : Case No. 20-11120 (LSS) COMCAR INDUSTRIES, INC., et al.,1 : : (Jointly Administered) Debtors. : : ---------------------------------------------------------------x CERTIFICATION OF COUNSEL REGARDING ORDER APPROVING STIPULATION BY AND BETWEEN THE DEBTORS AND GRAINGER COMPANIES, INC. D/B/A GRAINGER HONDA, GRAINGER NISSAN, INC. AND CERTAIN UNDERWRITERS AT LLOYD’S, LONDON SUBSCRIBING TO POLICY NO. VOSAPD00142-01 AS SUBROGEES OF GRAINGER COMPANIES, INC. D/B/A GRAINGER HONDA AND GRAINGER NISSAN, INC. REGARDING RELIEF FROM THE AUTOMATIC STAY UNDER 11 U.S.C. SECTION 362 TO PURSUE INSURANCE CLAIM I, Stuart M. Brown, an attorney with DLA Piper LLP (US), as counsel to Comcar Industries, Inc. and its affiliated debtors (collectively, the “Debtors”) in the above-captioned chapter 11 cases, hereby certify the following: 1. Grainger Companies, Inc. d/b/a Grainger Honda, Grainger Nissan, Inc. and Certain Underwriters at Lloyd’s, London Subscribing to Policy No. VOSAPD00142-01 as subrogees of Grainger Companies, Inc. d/b/a Grainger Honda and Grainger Nissan, Inc. 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification number, are: 9th Place Newberry, LLC (0359); 16th Street Pompano Beach, LLC (0278); CCC Spotting, LLC (0342); CCC Transportation, LLC (1058); Charlotte Avenue Auburndale, LLC (2179); Coastal Transport, Inc. (2918); Coastal Transport Logistics, LLC (7544); Comcar Industries, Inc. (8221); Comcar Logistics, LLC (2338); Comcar Properties, Inc. (9545); Commercial Carrier Corporation (8582); Commercial Carrier Logistics, LLC (7544); Commercial Truck and Trailer Sales Inc. (0722); Cortez Blvd. Brooksville, LLC (2210); CT Transportation, LLC (0997); CTL Distribution, Inc. (7383); CTL Distribution Logistics, LLC (7506); CTL Transportation, LLC (0782); CTTS Leasing, LLC (7466); Detsco Terminals, Inc. (9958); Driver Services, Inc. (3846); East Broadway Tampa, LLC (2233); East Columbus Drive Tampa, LLC (3995); Fleet Maintenance Services, LLC (1410); MCT Transportation, LLC (0939); Midwest Coast Logistics, LLC (7411); Midwest Coast Transport, Inc. (0045); New Kings Road Jacksonville, LLC (4797); Old Winter Haven Road Auburndale, LLC (4738); W. Airport Blvd. Sanford, LLC (0462); Willis Shaw Logistics, LLC (7341); WSE Transportation, LLC (0866). The corporate headquarters and the mailing address for the Debtors listed above is 8800 Baymeadows Way West, Suite 200, Jacksonville, Florida 32256.

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(collectively the “Grainger Plaintiffs”) asserted property damage claims against Debtors CCC Transportation, LLC, Commercial Carrier Logistics, LLC and Coastal Transport, Inc. arising from the dispersal of dry cement dust across business property and inventory and resulting damage to the same that occurred prior to the Petition Date. 2. The Debtors and the Grainger Plaintiffs have agreed to enter into the Stipulation By and Between the Debtors and Grainger Companies, Inc. d/b/a Grainger Honda, Grainger Nissan, Inc. and Certain Underwriters at Lloyd’s, London Subscribing to Policy No. VOSAPD00142-01 as Subrogees of Grainger Companies, Inc. d/b/a Grainger Honda and Grainger Nissan, Inc. Regarding Relief from the Automatic Stay Under 11 U.S.C. Section 362 to Pursue Insurance Claim (the “Stipulation”), which is annexed as Exhibit 1 to the proposed order. The proposed order is attached hereto as Exhibit A (the “Proposed Order”). WHEREFORE, the Debtors respectfully request that the Court enter the Proposed Order, attached hereto as Exhibit A, modifying the automatic stay, subject to certain limitations as set forth in the Stipulation, and approving the Stipulation, and grant such other and further relief that the Court deems just and proper.

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Dated: April 30, 2021 Respectfully submitted, Wilmington, Delaware DLA PIPER LLP (US) /s/ Stuart M. Brown Stuart M. Brown (DE 4050) 1201 North Market Street, Suite 2100 Wilmington, Delaware 19801 Telephone: (302) 468-5700 Facsimile: (302) 394-2341 Email: stuart.brown@us.dlapiper.com -and- Jamila Justine Willis (admitted pro hac vice) 1251 Avenue of the Americas New York, New York 10020 Telephone: (212) 335-4500 Facsimile: (212) 335-4501 Email: jamila.willis@us.dlapiper.com Counsel to the Debtors

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