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Full title: Notice of Appearance and Request for Notice by Eric D Goldberg Filed by Creditor Stillwell Madison, LLC. (Goldberg, Eric) (Entered: 12/22/2020)

Document posted on Dec 21, 2020 in the bankruptcy, 2 pages and 0 tables.

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Attorneys for Stillwell Madison, LLC 7 8 UNITED STATES BANKRUPTCY COURT 9 CENTRAL DISTRICT OF CALIFORNIA – LOS ANGELES DIVISION PLEASE TAKE NOTICE that Stillwell Madison, LLC (“Stillwell Madison”), by and 19 through its undersigned counsel hereby enters a notice of appearance pursuant to Rule 20 2002(i) of the Federal Rules of Bankruptcy Procedure (the “Bankruptcy Rules”) and sectio1109(b) of title 11 of the United States Code (the “Bankruptcy Code”) and requests that 21 copies of all notices and pleadings given or required to be given, and all papers served or 22 required to be served, be given and served upon the following persons at the addresses, 23 telephone numbers, facsimile numbers and email addresses indicated: 24 Eric D. Goldberg, Esq.Fax: 310.595.3300 1 PLEASE TAKE FURTHER NOTICE that, pursuant to Bankruptcy Code section 1109(b), the foregoing demand includes not only the notices and papers referred to in the 2 Bankruptcy Rules specified above, but also includes, without limitation, all orders and 3 notices of any applications, petitions, motions, complaints, requests or demands, 4 hearings, answering or reply papers, memoranda and briefs in support of any of the 5 foregoing and any other document filed with, or otherwise brought before, this Court with 6 respect to the above-referenced bankruptcy proceeding, whether formal or informal, 7 whether written or oral, and whether transmitted or conveyed by U.S. mail, electronic 8 mail, courier service, hand delivery, telephone, facsimile transmission, telegraph, or otherwise.TAKE FURTHER NOTICE that, Stillwell Madison intends that neither this 10 Notice of Appearance and Request for Special Notice nor any later appearance, 11 pleading, claim or suit shall waive: (i)core matters entered only after de novo review by a District Court Judge; (ii) Stillwell 13 Madison’s right to trial by jury in any proceeding so triable in any case, controversy, or 14 proceeding related to this bankruptcy proceeding; (iii) Stillwell Madison’s right to have the District Court withdraw the reference in any matter subject to mandatory or discretionary 15 withdrawal; or (iv) any other rights, claims, actions, defenses, setoffs, or recoupments to 16 which Stillwell Madison is or may be entitled under agreements, in law or in equity, 17 including the right to contest the jurisdiction of the United States Bankruptcy Court for the 18 Central District of California over Stillwell Madison, all of which rights, claims, actions, 19 defenses, setoffs, and recoupments Stillwell Madison expressly reserves.

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1 Eric D. Goldberg (SBN 157544) DLA PIPER LLP (US) 2 2000 Avenue of the Stars Suite 400 North Tower 3 Los Angeles, California 90067-4704 4 Tel: 310.595.3000 Fax: 310.595.3300 5 Email: eric.goldberg@us.dlapiper.com 6 Attorneys for Stillwell Madison, LLC 7 8 UNITED STATES BANKRUPTCY COURT 9 CENTRAL DISTRICT OF CALIFORNIA – LOS ANGELES DIVISION 10 11 In re: Case No. 2:20-bk-21022-SK 12 GIRARDI KEESE, Chapter 7 13 Involuntary Debtor. NOTICE OF APPEARANCE AND REQUEST FOR SPECIAL NOTICE 14 Date: 15 Time: [No Hearing Required] Place: 16 17 18 PLEASE TAKE NOTICE that Stillwell Madison, LLC (“Stillwell Madison”), by and 19 through its undersigned counsel hereby enters a notice of appearance pursuant to Rule 20 2002(i) of the Federal Rules of Bankruptcy Procedure (the “Bankruptcy Rules”) and sectio1109(b) of title 11 of the United States Code (the “Bankruptcy Code”) and requests that 21 copies of all notices and pleadings given or required to be given, and all papers served or 22 required to be served, be given and served upon the following persons at the addresses, 23 telephone numbers, facsimile numbers and email addresses indicated: 24 Eric D. Goldberg, Esq. 25 DLA PIPER LLP (US) 2000 Avenue of the Stars 26 Suite 400 North Tower Los Angeles, CA 27 Tel: 310.595-3000 Fax: 310.595.3300

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1 PLEASE TAKE FURTHER NOTICE that, pursuant to Bankruptcy Code section 1109(b), the foregoing demand includes not only the notices and papers referred to in the 2 Bankruptcy Rules specified above, but also includes, without limitation, all orders and 3 notices of any applications, petitions, motions, complaints, requests or demands, 4 hearings, answering or reply papers, memoranda and briefs in support of any of the 5 foregoing and any other document filed with, or otherwise brought before, this Court with 6 respect to the above-referenced bankruptcy proceeding, whether formal or informal, 7 whether written or oral, and whether transmitted or conveyed by U.S. mail, electronic 8 mail, courier service, hand delivery, telephone, facsimile transmission, telegraph, or otherwise. 9 PLEASE TAKE FURTHER NOTICE that, Stillwell Madison intends that neither this 10 Notice of Appearance and Request for Special Notice nor any later appearance, 11 pleading, claim or suit shall waive: (i) Stillwell Madison’s right to have final orders in non-12 core matters entered only after de novo review by a District Court Judge; (ii) Stillwell 13 Madison’s right to trial by jury in any proceeding so triable in any case, controversy, or 14 proceeding related to this bankruptcy proceeding; (iii) Stillwell Madison’s right to have the District Court withdraw the reference in any matter subject to mandatory or discretionary 15 withdrawal; or (iv) any other rights, claims, actions, defenses, setoffs, or recoupments to 16 which Stillwell Madison is or may be entitled under agreements, in law or in equity, 17 including the right to contest the jurisdiction of the United States Bankruptcy Court for the 18 Central District of California over Stillwell Madison, all of which rights, claims, actions, 19 defenses, setoffs, and recoupments Stillwell Madison expressly reserves. 20 Dated: December 22, 2020 DLA PIPER LLP (US) 21 /s/ Eric D. Goldberg 22 Eric D. Goldberg Attorneys for Stillwell Madison, LLC 23 24 25 26 27

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