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Full title: Supplement to Objections of Constellation Hospitality Group, LLC, Howard Wu, and Taylor Woods to Debtors' Sale Motion (related document(s)697, 744) Filed by Constellation Hospitality Group, LLC, Taylor Woods, Howard Wu. (Attachments: # 1 Exhibit A) (Stulman, Aaron) (Entered: 05/28/2021)

Document posted on May 27, 2021 in the bankruptcy, 2 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

TO OBJECTIONS OF CONSTELLATION HOSPITALITY GROUP, LLC, HOWARD WU, AND TAYLOR WOODS TO DEBTORS’ SALE MOTION Howard Wu, Taylor Woods, and Constellation Hospitality Group, LLC (“CHG”, and collectively, the “Objectors”), by and through their undersigned counsel, hereby file this supplement to the Objection, Joinder, Reservation of Rights of Urban Commons, LLC, Howard Wu, and Taylor Woods to Debtors’ Sale Motion [Docket No. 697] (the “Sale Objection”) and the Objection, Joinder, Reservation of Rights of Urban Commons, LLC, Howard Wu, and Taylor Woods to Debtors’ Sale Motion [Docket No. 697] (the “Further Sale Objection”), and respectfully state as follows:2 1 The Debtors in these chapter 11 cases, along with the last four digits of each debtor’s tax identification number, as applicable, are as follows: EHT US1, Inc. (6703); 5151 Wiley Post Way, Salt Lake City, LLC (1455); ASAP Cayman Atlanta Hotel LLC (2088); ASAP Cayman Denver Tech LLC (7531); ASAP Cayman Salt Lake City Hotel LLC (7546); ASAP Salt Lake City Hotel, LLC (7146); Atlanta Hotel Holdings, LLC (6450); CI Hospitality Investment, LLC (7641); Eagle Hospitality Real Estate Investment Trust (7734); Eagle Hospitality Trust S1 Pte.EHT Cayman Corp. Ltd. (7656); Sky Harbor Atlanta Northeast, LLC (6450); Sky Harbor Denver Holdco, LLC (6650); Sky Harbor Denver Tech Center, LLC (8303);UCCONT1, LLC (0463); UCF 1, LLC (6406); UCRDH, LLC (2279); UCHIDH, LLC (6497); Urban Commons 4th Street A, LLC (1768); Urban Commons Anaheim HI, LLC (3292); Urban Commons Bayshore A, LLC (2422); Urban Commons Cordova A, LLC (4152); Urban Commons Danbury A, LLC (4388); Urban Commons Highway 111 A, LLC (4497); Urban Commons Queensway, LLC (6882); Urban Commons Riverside Blvd., A, LLC (4661); and USHIL Holdco Member, LLC (4796).

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: Chapter 11 EHT US1, Inc., et al.,1 Case No. 21-10036 (CSS) Debtors. (Jointly Administered) Re: Docket Nos. 697 & 744 SUPPLEMENT TO OBJECTIONS OF CONSTELLATION HOSPITALITY GROUP, LLC, HOWARD WU, AND TAYLOR WOODS TO DEBTORS’ SALE MOTION Howard Wu, Taylor Woods, and Constellation Hospitality Group, LLC (“CHG”, and collectively, the “Objectors”), by and through their undersigned counsel, hereby file this supplement to the Objection, Joinder, Reservation of Rights of Urban Commons, LLC, Howard Wu, and Taylor Woods to Debtors’ Sale Motion [Docket No. 697] (the “Sale Objection”) and the Objection, Joinder, Reservation of Rights of Urban Commons, LLC, Howard Wu, and Taylor Woods to Debtors’ Sale Motion [Docket No. 697] (the “Further Sale Objection”), and respectfully state as follows:2 1 The Debtors in these chapter 11 cases, along with the last four digits of each debtor’s tax identification number, as applicable, are as follows: EHT US1, Inc. (6703); 5151 Wiley Post Way, Salt Lake City, LLC (1455); ASAP Cayman Atlanta Hotel LLC (2088); ASAP Cayman Denver Tech LLC (7531); ASAP Cayman Salt Lake City Hotel LLC (7546); ASAP Salt Lake City Hotel, LLC (7146); Atlanta Hotel Holdings, LLC (6450); CI Hospitality Investment, LLC (7641); Eagle Hospitality Real Estate Investment Trust (7734); Eagle Hospitality Trust S1 Pte. Ltd. (7669); Eagle Hospitality Trust S2 Pte. Ltd. (7657); EHT Cayman Corp. Ltd. (7656); Sky Harbor Atlanta Northeast, LLC (6450); Sky Harbor Denver Holdco, LLC (6650); Sky Harbor Denver Tech Center, LLC (8303); UCCONT1, LLC (0463); UCF 1, LLC (6406); UCRDH, LLC (2279); UCHIDH, LLC (6497); Urban Commons 4th Street A, LLC (1768); Urban Commons Anaheim HI, LLC (3292); Urban Commons Bayshore A, LLC (2422); Urban Commons Cordova A, LLC (4152); Urban Commons Danbury A, LLC (4388); Urban Commons Highway 111 A, LLC (4497); Urban Commons Queensway, LLC (6882); Urban Commons Riverside Blvd., A, LLC (4661); and USHIL Holdco Member, LLC (4796). The Debtors’ mailing address is 3 Times Square, 9th Floor New York, NY 10036 c/o Alan Tantleff (solely for purposes of notices and communications). 2 All capitalized terms used but not otherwise defined herein shall have the meanings ascribed to them in the Sale Motion.

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SUPPLEMENT 1. On May 14, 2021, CHG submitted a bid (the “CHG Bid”). Also on May 14, 2021, the Objectors filed the Sale Objection. 2. The Debtors rejected the CHG Bid as a non-qualified bid for a number of reasons, including a lack of committed financing. 3. Since then, CHG has worked tirelessly to improve the CHG Bid and resolve the Debtors’ issues with the CHG Bid. To that end, CHG received an executed term sheet dated May 27, 2021 from a proposed lender for up to $400 million in debt financing. Attached hereto as Exhibit A is the term sheet received by CHG dated May 27, 2021. 4. On May 24, 2021, the Objectors filed the Further Sale Objection. WHEREFORE, Objectors respectfully request that the Court adjourn the Sale Hearing as appropriate, and grant such other and further relief as the Court deems just and proper. Dated: May 28, 2021 Respectfully submitted, Wilmington, Delaware /s/ Aaron H. Stulman Christopher M. Samis (No. 4909) Aaron H. Stulman (No. 5807) POTTER ANDERSON & CORROON LLP 1313 N. Market Street, 6th Floor Wilmington, Delaware 19801 Telephone: (302) 984-6000 Facsimile: (302) 658-1192 Email: csamis@potteranderson.com astulman@potteranderson.com Counsel to Constellation Hospitality Group, LLC, Howard Wu, and Taylor Woods

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