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Full title: Notice of Administrative Expense Claim of Donlin, Recano & Company, Inc. for Services as Noticing and Claims Agent Filed by GABRIELLE A. HAMM on behalf of DONLIN, RECANO & COMPANY, INC. (lj) (Attachments: # 1 Appendix 1 # 2 Exhibit 2 # 3 Exhibit 3) (HAMM, GABRIELLE) (Entered: 07/14/2021)

Document posted on Jul 13, 2021 in the bankruptcy, 4 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

On August 7, 2018, the Debtors filed the Application For Order Authorizin27 Debtors to Employ and Retain Donlin, Recano as Claims and Noticing Agent Nunc Pro Tunc t28 the Petition Date (Docket No. 12).DRC is a corporation that provides claims administration, noticing, ballotin5 tabulation, and disbursement services, and facilitates other administrative aspects of chapter 16 bankruptcy cases.The Retention Order further provide16 that “[p]ursuant to Section 503(b)(1)(A), the fees and expenses of Donlin under this Order sha17 be an administrative expense of the Debtors’ estates.”The filing of this Administrative Expense Claim is not an11 shall not be deemed or construed as: (a) a waiver or release by DRC of any rights against an12 person, entity or property; (b) a consent by DRC to the jurisdiction of this Court or any oth13 court with respect to proceedings, if any, commenced in any case against or otherwise involvin14 DRC; (c) a waiver or release of DRC’s right to trial by jury in this Court or any other court i15 any proceeding as to any and all matters so triable herein, whether or not the same be designate16 legal or private rights or in any case, controversy or proceeding related hereto, notwithstandin17 the designation or not of such matters as “core proceedings” pursuant to 28 U.S.C. § 157(b)(218 and whether such jury trial right is pursuant to statue or the United States Constitution; (d) 19 consent by DRC to a jury trial in this Court or any other court in any proceeding as to any and a20 matters so triable herein or in any case, controversy or proceeding related hereto, pursuant to 221 U.S.C. § 157(e) or otherwise; (e) a waiver or release of DRC’s right to have any and all fin22 orders in any and all non-core matters or proceedings entered only after de novo review by 23 United States District Court Judge; (f) a waiver of the right to move to withdraw the referenc24 with respect to the subject matter of this Administrative Expense Claim, any objection thereto 25 other proceeding which may be commenced in this case against or otherwise involving DRC; o26 (g) an election of remedies.July 14, 2021 2 Respectfully submitted, 3 DONLIN, RECANO & COMPANY, INC. 4 5 By: _________________________________ Roland Tomforde 6 Chief Operating Officer Donlin, Recano & Company, Inc. 7 6201 15th Avenue Brooklyn, NY 11219 8

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1 WILLIAM M. NOALL 2 Nevada Bar No. 3549 E-mail: wnoall@gtg.legal 3 GABRIELLE A. HAMM Nevada Bar No. 11588 4 E-mail: ghamm@gtg.legal 5 7251 Amigo Ste., Suite 210 Las Vegas, Nevada 89119 6 Telephone (725) 777-3000 Facsimile (725) 777-3112 7 Chapter 11 Counsel for Debtors 8 UNITED STATES BANKRUPTCY COURT 9 FOR THE DISTRICT OF NEVADA 10 In re: Case No.: 18-14683-MKN 11 Chapter 11 POST 135 HOLDINGS, LLC 12 Jointly administered with: Affects this Debtor. 13 No. 18-14684-MKN(In re Post 135Corp.) No. 18-14685-MKN (In re Post 135By Mai 14 X Affects all Debtors. Inc.) 15 16 Affects Post135Corp. Hearing Date: N/A Hearing Time: N/A 17 Affects Post135By Mail, Inc. 18 19 NOTICE OF ADMINISTRATIVE EXPENSE CLAIM OF DONLIN, RECANO & 20 COMPANY, INC.FOR SERVICES AS NOTICING AND CLAIMS AGENT 21 Donlin, Recano & Company, Inc. (“DRC”) hereby provides notice (the “Notice”) of it22 administrative expense claim (the “Administrative Expense Claim”) against the abov23 captioned debtors (collectively, the “Debtors”) for obligations owing by the Debtors to DR24 under that certain Standard Claims Administration and Noticing Agreementdated as of August 25 2018 (the “Agreement”). A copy of the Agreement is attached hereto as Exhibit 1. 26 1. On August 7, 2018, the Debtors filed the Application For Order Authorizin27 Debtors to Employ and Retain Donlin, Recano as Claims and Noticing Agent Nunc Pro Tunc t28 the Petition Date (Docket No. 12). On August 15, 2018, the Court signed theOrder Authorizin

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1 2 U.S.C. § 156(c) and Section 105(a) of the Bankruptcy Code Nunc Pro Tunc To The Petition Dat3 (Docket No. 69) (the “Retention Order”), a copy of which is attached hereto as Exhibit 2. 4 2. DRC is a corporation that provides claims administration, noticing, ballotin5 tabulation, and disbursement services, and facilitates other administrative aspects of chapter 16 bankruptcy cases. DRC’s Administrative Expense Claim arises under: (a) section 330 and 337 of the Bankruptcy Code; (b) Bankruptcy Rule 2016; (c) Local Bankruptcy Rule 2016; (d) th 8 Administrative Fee Order,and (e) the Retention Order. 9 3. The Retention Order provides that the “Debtors are authorized to compensat10 Donlin in accordance with the terms of the Engagement Agreement upon the receipt 11 reasonably detailed invoices setting forth the services provided by Donlin and the rates charge12 for each, and to reimburse Donlin for all reasonable and necessary expenses it may incur, upo13 the presentation of appropriate documentation, without the need for Donlin to file fe14 applications or otherwise seek Court approval for the compensation of its services an15 reimbursement of its expenses.” Retention Order at ¶ 6. The Retention Order further provide16 that “[p]ursuant to Section 503(b)(1)(A), the fees and expenses of Donlin under this Order sha17 be an administrative expense of the Debtors’ estates.” Retention Order at ¶ 9. 18 4. Pursuant to the terms of the Agreement, the Debtors owe DRC an administrativ19 claim totaling $42,679.43,comprising: 20 (i) $1,887.82 for services rendered during the period February 1, 202through February 28, 2021; 21 (ii) $24,678.38 for services rendered during the period March 1, 2021 throug22 March 31, 2021; 23 (iii) $5,610.71 for services rendered during the period April 1, 2021 througApril 30, 2021; 24 (iv) $2,237.42 for services rendered during the period May 1, 2021 throug25 May 31, 2021; and 26 (v) $8,265.10 for services rendered during the period June 1, 2021 throug27 June 30, 2021. 28

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1 2 hereto as Exhibit 3. 3 5. In addition, DRC asserts an unliquidated administrative expense claim for th4 period July 1, 2021 through July 31, 2021. 5 6. DRC reserves the right to: (a) amend and/or supplement its Administrativ 6 Expense Claim or this Notice at any time, including after the bar date, and in any manner, (b) t7 file any additional administrative expense claim for any additional claim against the Debtor8 which may be based on the same or additional documents or grounds of liability. 9 7. This Notice of DRC’s Administrative Expense Claim is being filed to prote10 DRC from forfeiture of its claims. The filing of this Administrative Expense Claim is not an11 shall not be deemed or construed as: (a) a waiver or release by DRC of any rights against an12 person, entity or property; (b) a consent by DRC to the jurisdiction of this Court or any oth13 court with respect to proceedings, if any, commenced in any case against or otherwise involvin14 DRC; (c) a waiver or release of DRC’s right to trial by jury in this Court or any other court i15 any proceeding as to any and all matters so triable herein, whether or not the same be designate16 legal or private rights or in any case, controversy or proceeding related hereto, notwithstandin17 the designation or not of such matters as “core proceedings” pursuant to 28 U.S.C. § 157(b)(218 and whether such jury trial right is pursuant to statue or the United States Constitution; (d) 19 consent by DRC to a jury trial in this Court or any other court in any proceeding as to any and a20 matters so triable herein or in any case, controversy or proceeding related hereto, pursuant to 221 U.S.C. § 157(e) or otherwise; (e) a waiver or release of DRC’s right to have any and all fin22 orders in any and all non-core matters or proceedings entered only after de novo review by 23 United States District Court Judge; (f) a waiver of the right to move to withdraw the referenc24 with respect to the subject matter of this Administrative Expense Claim, any objection thereto 25 other proceeding which may be commenced in this case against or otherwise involving DRC; o26 (g) an election of remedies. 27 28

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1 July 14, 2021 2 Respectfully submitted, 3 DONLIN, RECANO & COMPANY, INC. 4 5 By: _________________________________ Roland Tomforde 6 Chief Operating Officer Donlin, Recano & Company, Inc. 7 6201 15th Avenue Brooklyn, NY 11219 8 Telephone: (212) 481-1411 9 Facsimile: (212) 481-1416 E-mail: rtomforde@donlinrecano.com 10 Submitted by: 11 GARMAN TURNER GORDON LLP 12 By: /s/ Gabrielle A. Hamm 13 WILLIAM M. NOALL GABRIELLE A. HAMM 14 7251 Amigo Ste., Suite 210 Las Vegas, Nevada 89119 15 Telephone (725) 777-3000 16 Facsimile (725) 777-3112 17 Chapter 11 Counsel for Debtors 18 19 20 21 22 23 24 25 26 27 28

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