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Full title: Order Granting Stipulation to extend time to respond to the motion Re: (BNC-PDF) (Related Doc # 60 ) Signed on 1/12/2021 (Fortier, Stacey) (Entered: 01/12/2021)

Document posted on Jan 11, 2021 in the bankruptcy, 4 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

Motion for Relief from Stay filed on January 12, 2021, as Docket No.("Stipulation") 22 and good cause appearing therefrom, 23 IT IS ORDERED that the Stipulation is approved, and the deadline to respond to 24 the Motion is extended from January 12, 2021, to and including January 19, 2021.The Trustee was only recently appointed on January 6, 2021, and has not e1 M5- a 4 ost4 4 16 had sufficient time to fully evaluate the Debtor's business or the relief sought by Frantz.In light of the foregoing, the parties stipulate to an extension of the deadline to 23 respond to the Motion from January 12, 2021, to and including January 19, 2021.LEI LEI WANG EKVALL 5 Proposed Attorneys for Elissa D. Miller, 6 Chapter 7 Trustee 7 DATED: January ___, 2021 QUINN EMANUEL URQUHART & SULLIVAN, LL 8 By: 9 ERIC WINSTON

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1 SMILEY WANG-EKVALL, LLP Lei Lei Wang Ekvall, State Bar No. 163047 2 lekvall@swelawfirm.com FILED & ENTERED Philip E. Strok, State Bar No. 169296 3 pstrok@swelawfirm.com Timothy W. Evanston, State Bar No. 319342 JAN 12 2021 4 tevanston@swelawfirm.com 3200 Park Center Drive, Suite 250 5 Costa Mesa, California 92626 CLERK U.S. BANKRUPTCY COURT Telephone: 714 445-1000 Central District of California 6 Facsimile: 714 445-1002 BY f o r t i e r DEPUTY CLERK 7 Proposed Attorneys for Elissa D. Miller, Chapter 7 Trustee 8 9 UNITED STATES BANKRUPTCY COURT 10 CENTRAL DISTRICT OF CALIFORNIA 11 LOS ANGELES DIVISION 2 0 0 92626 4 445-1 1123 I GnI RreA RDI KEESE, C Cahsaep tNero 7. 2:20-bk-21022-BR ornia ax 71 a, Calif00 • F 14 OEXRTDEENRD A DPEPARDOLVININEG T SOT RIPEUSLPAOTNIODN T TOO s0 15 NOTICE OF MOTION AND MOTION FOR e1 M5- RELIEF FROM THE AUTOMATIC STAY a 4 ost4 4 16 FILED BY FRANTZ LAW GROUP, APLC C71 Alleged Debtor. el 17 DATE: January 26, 2021 T TIME: 10:00 a.m. 18 CTRM: 1668 19 20 Pursuant to the Stipulation to Extend Deadline to Respond to Notice of Motion an21 Motion for Relief from Stay filed on January 12, 2021, as Docket No. 60 ("Stipulation") 22 and good cause appearing therefrom, 23 IT IS ORDERED that the Stipulation is approved, and the deadline to respond to 24 the Motion is extended from January 12, 2021, to and including January 19, 2021. Any 25 26 27

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1 written reply to the written opposition is due by January 22, 2021 by noon. 2 ### 3 4 5 6 7 8 9 10 11 2 0 0 92626 4 445-1 1123 ornia ax 71 a, Calif00 • F 14 s0 15 e1 M5- a 4 ost4 4 16 C1 7 el 17 T 18 19 20 21 22 23 Date: January 12, 2021 24 25 26 27

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1 2 3 RECITALS 4 A. On December 18, 2020, an involuntary chapter 7 bankruptcy petition was 5 filed against Girardi Keese ("Debtor"). As of the filing of the involuntary petition, Debtor 6 was counsel of record in a significant number of matters which were undertaken on a 7 contingency basis. 8 B. The petitioning creditors moved for the appointment of an interim trustee 9 which was granted by the Court by order entered January 5, 2021. The Trustee was 10 appointed as the interim chapter 7 trustee on January 6, 2021. 11 C. On December 30, 2020, Frantz filed a Notice of Motion and Motion for 2 0 0 92626 4 445-1 1123 Rfoer lhieefa Frrinogm o tnh eJ aAnuutoamrya 2ti6c, S2t0a2y1 [,D aot c1k0e:t0 N0 oa.. m31. ] T(thhee d"Meaodtiloinne" )t.o Trehsep Monodti oton tihse s cMhoetdiounle ids ornia ax 71 a, Calif00 • F 14 January 12, 2021. s0 15 D. The Trustee was only recently appointed on January 6, 2021, and has not e1 M5- a 4 ost4 4 16 had sufficient time to fully evaluate the Debtor's business or the relief sought by Frantz. C1 7 el 17 Accordingly, Frantz and the Trustee have agreed to extend the deadline to respond to thT 18 Motion for seven days to afford the Trustee additional time to properly evaluate the 19 Debtor's affairs and determine the best course of action going forward. 20 21 STIPULATION 22 In light of the foregoing, the parties stipulate to an extension of the deadline to 23 respond to the Motion from January 12, 2021, to and including January 19, 2021. 24 25 26 27

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1 IT IS SO STIPULATED. 2 3 DATED: January ___, 2021 SMILEY WANG-EKVALL, LLP 4 By: LEI LEI WANG EKVALL 5 Proposed Attorneys for Elissa D. Miller, 6 Chapter 7 Trustee 7 DATED: January ___, 2021 QUINN EMANUEL URQUHART & SULLIVAN, LL 8 By: 9 ERIC WINSTON Attorneys for Frantz Law Group, APLC 10 11 2 0 0 92626 4 445-1 1123 ornia ax 71 a, Calif00 • F 14 s0 15 e1 M5- a 4 ost4 4 16 C1 7 el 17 T 18 19 20 21 22 23 24 25 26 27

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