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Full title: Declaration in Support - Declaration of Corey R. Weber in Support of Limited Objection of the City of Long Beach to the Debtors' Motion, Pursuant to Bankruptcy Code Sections 365(b) And 554(a), Seeking Entry of Order(1) Authorizing Debtor Urban Commons Queensway, LLC to (A) Reject Certain Executory Contracts and Unexpired Leases and Subleases Nunc Pro Tunc to Surrender Date and (B) Abandon Any Remaining Personal Property Located at Leased Premises and (II) Granting Related Relief (related document(s)870, 871) Filed by City of Long Beach and the City of Long Beach, Harbor Department, acting by and through its Board of Harbor Commissioners. (Busenkell, Michael) (Entered: 06/18/2021)

Document posted on Jun 17, 2021 in the bankruptcy, 2 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

I am admitted pro hac vice to practice before this Court and a partner at Brutzkus Gubner Rozansky Seror Weber LLP, counsel for the City of Long Beach and the City of Long Beach, a 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 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).Authorizing Debtor Urban Commons Queensway, LLC to (A) Reject Certain Executory Contracts and Unexpired Leases and Subleases Nunc Pro Tunc to Surrender Date and (B) Abandon Any Remaining Personal Property Located at Leased Premises and (II)On or about June 2, 2021, I received an e-mail from Luc Despins of Paul Hastings, counsel for the Debtors, regarding a call as to rejection of the Leases.On Friday, June 4, 2021, I had another telephone call with Mr. Despins, during which he stated that the Debtor was surrendering the leased premises that afternoon (June 4, 2021).

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IN THE UNITED STATES BANKRUPTCY COURT DISTRICT OF DELAWARE In re: Chapter 11 EHT US1, INC., et al., Case No. 21-10036 (CSS) Debtors1. (Jointly Administered) DECLARATION OF COREY R. WEBER IN SUPPORT OF LIMITED OBJECTION OF THE CITY OF LONG BEACH TO THE DEBTORS’ MOTION, PURSUANT TO BANKRUPTCY CODE SECTIONS 365(B) AND 554(A), SEEKING ENTRY OF ORDER (1) AUTHORIZING DEBTOR URBAN COMMONS QUEENSWAY, LLC TO (A) REJECT CERTAIN EXECUTORY CONTRACTS AND UNEXPIRED LEASES AND SUBLEASES NUNC PRO TUNC TO SURRENDER DATE AND (B) ABANDON ANY REMAINING PERSONAL PROPERTY LOCATED AT LEASED PREMISES AND (II) GRANTING RELATED RELIEF I, Corey R. Weber, declare: 1. I am over the age of 18. Each of the facts contained in this declaration is based on personal knowledge and, if called as a witness, I could and would competently testify as to these facts. I am admitted pro hac vice to practice before this Court and a partner at Brutzkus Gubner Rozansky Seror Weber LLP, counsel for the City of Long Beach and the City of Long Beach, a 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 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).

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municipal corporation acting by and through its Board of Harbor Commissioners. 2. I make this declaration in support of the limited objection of the City of Long Beach (the “City”) to the Debtors’ Motion, Pursuant to Bankruptcy Code Sections 365(b) And 554(a), Seeking Entry of Order(1) Authorizing Debtor Urban Commons Queensway, LLC to (A) Reject Certain Executory Contracts and Unexpired Leases and Subleases Nunc Pro Tunc to Surrender Date and (B) Abandon Any Remaining Personal Property Located at Leased Premises and (II) Granting Related Relief (Docket No. 843) (the “Motion”). 3. Any capitalized terms used but not defined herein shall have the same meaning as is affixed to them in the City’s limited objection. All of the documents referred to herein were received, sent, or prepared by Brutzkus Gubner Rozansky Seror Weber LLP and maintained in the ordinary course of its business. 4. On or about June 2, 2021, I received an e-mail from Luc Despins of Paul Hastings, counsel for the Debtors, regarding a call as to rejection of the Leases. I then had a telephone call with Mr. Despins during which Mr. Despins stated that the Debtor was considering surrendering the leased premises as of that Friday, June 4, 2021, but that the Debtor would not make a decision until that Friday. 5. On Friday, June 4, 2021, I had another telephone call with Mr. Despins, during which he stated that the Debtor was surrendering the leased premises that afternoon (June 4, 2021). I had communications with Mr. Despins during the day in regard to logistics. The Motion was then filed with the Court and I thereafter received an e-mail from Brad Foster of FTI Consulting stating that the Motion had been filed and that the Debtors surrender the property to the City (via Evolution as the caretaker). I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct. Executed June 18, 2021 at Lake Sherwood, California. _______________________________________ COREY R. WEBER

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