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Full title: Order Granting Motion for 2004 Examination and production of documents - HARRIS GINSBURG LLP AND LARRY A. GINSBURG (PDF-BNC) (Related Doc # 423) Signed on 6/28/2021 (Fortier, Stacey) [ENTERED IN ERROR; DUPLICATE ORDER OF 441 Modified on 6/28/2021 (Fortier, Stacey). (Entered: 06/28/2021)

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

Bankrupt11 Summary (Automatically Generated)

AND PRODUCTION OF DOCUMENTS 14 BY HARRIS GINSBURG LLP AND LARRY A. GINSBURG PURSUANT TO 15 RULE 2004 OF THE FEDERAL RULES OF BANKRUPTCY PROCEDURE 16 DATE: 17 TIME:Requiring Examination and Production of Documents By Harris Ginsburg LLP and Larry 23 A. Ginsburg Pursuant to Rule 2004 of the Federal Rules of Bankruptcy Procedure; 24 Memorandum of Points and Authorities; Declaration of Ronald Richards in Support 25 Thereof” (the “Motion”), filed by Elissa D. Miller (the “Trustee’), the duly appointed, 26 qualified, and acting chapter 7 trustee for the estate of the debtor Girardi Keese (the 27 “Debtor), and after finding that, based on the declaration of Ronald Richards attached to 1 the Motion, the Trustee met and conferred with Harris Ginsburg LLP, Larry A. Ginsburg 2 (“Ginsburg”) in accordance with Local Bankruptcy Rule 2004-1(a), and after further 3 finding that good cause exists for the examination and production of the requested 4 documents set forth in Exhibit “A” to the Motion, and for good cause appearing therefor: 5 IT IS HEREBY ORDERED as follows: 6 1. Ginsburg is directed to produce the documents identified in Exhibit 8 “A” to the Motion, by no later than 5:00 p.m., Pacific Time, on July 21, 2021, by deliverin9 the documents electronically by email to ron@ronaldrichards.com and 10 LLP shall appear for examination, under oath, on July 23, 2021, at 10:00 a.m., Pacific 13 Time, which examination shall take place via “zoom.com” in accordance with the 14 instructions which shall be provided to Ginsburg no later than July 21, 2021.

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Document Contents

1 Ronald Richards (CA Bar No. 176246) ron@ronaldrichards.com 2 Morani Stelmach (CA Bar No. 296670) FILED & ENTERED morani@ronadlrichards.com 3 Law Offices of Ronald Richards & Associates, APC P.O. Box 11480 JUN 28 2021 4 Beverly Hills, California 90213 Telephone: 310.556.1001 5 Facsimile: 310.277.3325 CLERK U.S. BANKRUPTCY COURT Central District of California 6 Special Litigation Counsel for Elissa D. Miller, Chapter 7 TrBuYs f ot e r t i ee r DEPUTY CLERK 7 8 UNITED STATES BANKRUPTCY COURT 9 CENTRAL DISTRICT OF CALIFORNIA, LOS ANGELES DIVISION 10 In re Case No. 2:20-bk-21022-BR 11 GIRARDI KEESE Chapter 7 12 ORDER GRANTING MOTION FOR 13 ORDER REQUIRING EXAMINATION Debtor. AND PRODUCTION OF DOCUMENTS 14 BY HARRIS GINSBURG LLP AND LARRY A. GINSBURG PURSUANT TO 15 RULE 2004 OF THE FEDERAL RULES OF BANKRUPTCY PROCEDURE 16 DATE: 17 TIME: [No Hearing Required] PLACE: 18 [RELATES TO DOCKET NO. 423] 19 20 The Court, the Honorable Barry Russell, United States Bankruptcy Judge, 21 presiding, having reviewed and considered the “Notice of Motion and Motion for Order 22 Requiring Examination and Production of Documents By Harris Ginsburg LLP and Larry 23 A. Ginsburg Pursuant to Rule 2004 of the Federal Rules of Bankruptcy Procedure; 24 Memorandum of Points and Authorities; Declaration of Ronald Richards in Support 25 Thereof” (the “Motion”), filed by Elissa D. Miller (the “Trustee’), the duly appointed, 26 qualified, and acting chapter 7 trustee for the estate of the debtor Girardi Keese (the 27 “Debtor), and after finding that, based on the declaration of Ronald Richards attached to

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1 the Motion, the Trustee met and conferred with Harris Ginsburg LLP, Larry A. Ginsburg 2 (“Ginsburg”) in accordance with Local Bankruptcy Rule 2004-1(a), and after further 3 finding that good cause exists for the examination and production of the requested 4 documents set forth in Exhibit “A” to the Motion, and for good cause appearing therefor: 5 IT IS HEREBY ORDERED as follows: 6 1. The Motion is granted. 7 2. Ginsburg is directed to produce the documents identified in Exhibit 8 “A” to the Motion, by no later than 5:00 p.m., Pacific Time, on July 21, 2021, by deliverin9 the documents electronically by email to ron@ronaldrichards.com and 10 morani@ronaldrichards.com. 11 3. Larry A. Ginsburg and the Custodian of Records for Harris Ginsburg12 LLP shall appear for examination, under oath, on July 23, 2021, at 10:00 a.m., Pacific 13 Time, which examination shall take place via “zoom.com” in accordance with the 14 instructions which shall be provided to Ginsburg no later than July 21, 2021. 15 4. The Court shall retain jurisdiction to consider any additional request 16 for information and documents or further examination on appropriate notice. 17 ### 18 19 20 21 22 23 Date: June 28, 2021 24 25 26 27

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