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Full title: Notice of Submission of Wind Down Budget in Connection with Debtors Motion for Entry of an Order (I) DISMISSING THE DEBTORS' CHAPTER 11 CASES; (II) ESTABLISHING CASE WIND DOWN PROCEDURES WITH RESPECT TO CLAIMS RECONCILIATION, PROFESSIONAL FEES AND FINAL FEE APPLICATIONS; (III) DIRECTING THE DEBTOR ENTITIES TO BE DISSOLVED; AND (IV) GRANTING RELATED RELIEF filed by Jeffrey A Hokanson on behalf of Member Debtors Gregg Appliances, Inc., HHG Distributing LLC, Debtor hhgregg, Inc (re: Doc # 3147). (Hokanson, Jeffrey) CORRECTION: Missing text added in all capitals. Modified on 6/2/2021. (lak) (Entered: 06/01/2021)

Document posted on May 31, 2021 in the bankruptcy, 4 pages and 0 tables.

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NOTICE OF FILING OF WIND DOWN BUDGET IN CONNECTION WITH DEBTORS’ MOTION FOR ENTRY OF AN ORDER (I) DISMISSING THE DEBTORS’ CHAPTER 11 CASES; (II) ESTABLISHING CASE WIND DOWN PROCEDURES WITH RESPECT TO CLAIMS RECONCILIATION, PROFESSIONAL FEES AND FINAL FEE APPLICATIONS; (III) DIRECTING THE DEBTOR ENTITIES TO BE DISSOLVED; AND (IV) GRANTING RELATEDRELIEF PLEASE TAKE NOTICE that on March 31, 2021, hhgregg, Inc. and its above-captioned affiliated debtors and debtors-in-possession (each a “Debtor” and collectively, the “Debtors”) in the above-referenced chapter 11 cases (the “Chapter 11 Cases”), filed that certain Debtors’ Motion for Entry of an Order (I) Dismissing the Debtors’ Chapter 11 Cases; (II)Establishing Case Wind Down Procedures With Respect to Claims Reconciliation, Professional Fees and Final Fee Applications; (III) Directing the Debtor Entities to be Dissolved; and (IV)Motion references the attachment of the Wind Down Budget as Exhibit 1 to the Initial Order approving such motion, but was not attached when the Dismissal Motion was filed; and PLEASE TAKE FURTHER NOTICE that attached hereto as Exhibit A, the Debtors file the proposed Wind Down Budget in connection with the relief sought in the Dismissal Motion, with such budget to be annexed as Exhibit 1 to the proposed form of Initial Order granting the motion.If there are unanticipated events in the bankruptcy case that justify modification of the budget, the Debtors shall seek Bankruptcy Court approval of the modified budget.

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF INDIANA INDIANAPOLIS DIVISION In re: Chapter 11 hhgregg, Inc., et al.,1 Case No. 17-01302-JJG-11 Debtors. (Jointly Administered) Related to Dkt. No. 3147 NOTICE OF FILING OF WIND DOWN BUDGET IN CONNECTION WITH DEBTORS’ MOTION FOR ENTRY OF AN ORDER (I) DISMISSING THE DEBTORS’ CHAPTER 11 CASES; (II) ESTABLISHING CASE WIND DOWN PROCEDURES WITH RESPECT TO CLAIMS RECONCILIATION, PROFESSIONAL FEES AND FINAL FEE APPLICATIONS; (III) DIRECTING THE DEBTOR ENTITIES TO BE DISSOLVED; AND (IV) GRANTING RELATED RELIEF PLEASE TAKE NOTICE that on March 31, 2021, hhgregg, Inc. and its above-captioned affiliated debtors and debtors-in-possession (each a “Debtor” and collectively, the “Debtors”) in the above-referenced chapter 11 cases (the “Chapter 11 Cases”), filed that certain Debtors’ Motion for Entry of an Order (I) Dismissing the Debtors’ Chapter 11 Cases; (II) Establishing Case Wind Down Procedures With Respect to Claims Reconciliation, Professional Fees and Final Fee Applications; (III) Directing the Debtor Entities to be Dissolved; and (IV) Granting Related Relief [Dkt. No. 3147] (the “Dismissal Motion”);2 PLEASE TAKE FURTHER NOTICE that the Dismissal Motion will be served and noticed for hearing before the Court at a later date in conjunction with the mailing of certain proof 1 The Debtors in these cases, along with the last four digits of each Debtor’s federal tax identification number, are: hhgregg, Inc. (0538); Gregg Appliances, Inc. (9508); and HHG Distributing LLC (5875). The location of the Debtors’ headquarters is 160 West Carmel Drive, Suite 263, Carmel, IN 46032. 2 Capitalized terms used but not otherwise defined herein shall have the meanings ascribed to such terms in the Dismissal Motion.

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of claim bar date packages related to the pending Debtors’ Motion for Entry of an Order (I) Establishing Bar Dates for Filing Proofs of Claim and (II) Approving the Form and Manner of Notice Thereof [Dkt. No. 3158]; PLEASE TAKE FURTHER NOTICE that the Dismissal Motion references the attachment of the Wind Down Budget as Exhibit 1 to the Initial Order approving such motion, but was not attached when the Dismissal Motion was filed; and PLEASE TAKE FURTHER NOTICE that attached hereto as Exhibit A, the Debtors file the proposed Wind Down Budget in connection with the relief sought in the Dismissal Motion, with such budget to be annexed as Exhibit 1 to the proposed form of Initial Order granting the motion. Dated: June 1, 2021 MORGAN,LEWIS &BOCKIUS LLP Craig A. Wolfe Andrew J. Gallo 101 Park Avenue New York, NY 10178 Telephone: (212) 309-6000 Facsimile: (212) 309-6001 craig.wolfe@morganlewis.com andrew.gallo@morganlewis.com -and- ICEMILLERLLP By: /s/ Jeffrey A. Hokanson Jeffrey A. Hokanson (No. 14579-49) One American Square, Suite 2900 Indianapolis, IN 46282-0200 Telephone: (317) 236-2100 Jeff.Hokanson@icemiller.com Counsel to the Debtors and Debtors- in-Possession

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EXHIBIT A Wind Down Budget

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Budget Summary (in thousands) Existing Budget Wind Down Budget Thru 6/30/21 7/1/21 - 12/31/21 Comments Office Rent / Internet 2 6 Office Rent plus InternetPayroll 49 123 One full-time and one part-time employeeOperating Expenses / Misc. Expenses 29 91 Ongoing operating and miscellaneous expensesUST Fees - 70 Quarterly Trustee Fees - EstimateProfessional Fees - Case 250 300 Debtor & Credit Committee CounselProfessional Fees - Material Litigation - - Material Litigation Counsel paid via Contingency FeeClaims Agent Expenses 30 200 Claims Agent / Bar Date Filing / Dismissal Service Total Budget 360 790** The amounts above shall be reserved for the payment of the fees and expenses in the line item categories set forth above with any unused portion in an earlier period rolling forwardto the subsequent period. Any unused portion at the end of the bankruptcy case will become available for distribution to creditors in order of their priority under the Bankruptcy Code. If there are unanticipated events in the bankruptcy case that justify modification of the budget, the Debtors shall seek Bankruptcy Court approval of the modified budget.

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