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Full title: Objection Notice re: Objection Notice, filed by Jeffrey A Hokanson on behalf of Debtor hhgregg, Inc (re: Doc # 3169). Objections due by 07/22/2021. (Hokanson, Jeffrey) (Entered: 07/01/2021)

Document posted on Jun 30, 2021 in the bankruptcy, 2 pages and 0 tables.

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Establishing Case Wind Down Procedures with Respect to Claims Reconciliation, Professional Fees and Final Fee Applications; (III) The Motion seeks entry of an Initial Order granting certain wind down procedures for the Chapter 11 Cases, and a Dismissal Order dismissing the Chapter 11 Cases.2 A free copy of the above Motion may be found at https://www.donlinrecano.com/Clients/hhg/Dockets, or can be obtained from the Court’s docket or upon request to undersigned counsel.YOU ARE FURTHER NOTIFIED that if you do not want the Court to enter the Orders granting the relief sought in the Motion, or if you want the Court to consider your views on the Motion, then within twenty one (21) days of this Notice, you or your attorney must file an objection explaining why you object in accordance with Local Rule B-9013-1. You may file your objection electronically on the Court’s website: http://www.insb.uscourts.gov, or if you are not authorized to file papers electronically, in writing delivered to the Clerk of the U.S. Bankruptcy Court, Birch Bayh Federal Building, 46 East Ohio Street, Room 116, Indianapolis, IN 46204.FINALLY, YOU ARE NOTIFIED that if no objection is timely filed with respect to the Motion, the Court may enter the Orders granting the relief requested in the Motion and such other relief as may be required without conducting an actual hearing.

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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. (Joint Administration) NOTICE OF MOTION AND OPPORTUNITY TO OBJECT NOTICE: Your rights may be affected. You should read these papers carefully and discuss them with your attorney, if you have one in these bankruptcy cases. If you do not have any attorney, you may wish to consult one. YOU ARE HEREBY NOTIFIED that on July 1, 2021, the above-captioned debtors and debtors in possession (collectively, the “Debtors”) filed the Debtors’ Amended 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 (the “Motion”). The Motion seeks entry of an Initial Order granting certain wind down procedures for the Chapter 11 Cases, and a Dismissal Order dismissing the Chapter 11 Cases.2 A free copy of the above Motion may be found at https://www.donlinrecano.com/Clients/hhg/Dockets, or can be obtained from the Court’s docket or upon request to undersigned counsel. YOU ARE FURTHER NOTIFIED that if you do not want the Court to enter the Orders granting the relief sought in the Motion, or if you want the Court to consider your views on the Motion, then within twenty one (21) days of this Notice, you or your attorney must file an objection explaining why you object in accordance with Local Rule B-9013-1. You may file your objection electronically on the Court’s website: http://www.insb.uscourts.gov, or if you are not authorized to file papers electronically, in writing delivered to the Clerk of the U.S. Bankruptcy Court, Birch Bayh Federal Building, 46 East Ohio Street, Room 116, Indianapolis, IN 46204. If you mail your objection(s) to the Clerk of the Court, you must mail it early enough so the Clerk of the Court will receive it on or before the date stated above. You must also send a copy of your objection to (a) undersigned counsel to the Debtors to (b) Office of the U.S. Trustee, Attn: Ronald Moore, 101 W. Ohio Street, Suite 1000, Indianapolis, IN 46204. FINALLY, YOU ARE NOTIFIED that if no objection is timely filed with respect to the Motion, the Court may enter the Orders granting the relief requested in the Motion and such other relief as may be required without conducting an actual hearing. If an objection is timely filed, the 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); HHG Distributing LLC (5875). 2 Capitalized terms used but not otherwise defined in this Notice shall have the meanings ascribed to such terms in the Motion.

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Court will schedule a hearing to consider the Motion and objection(s), at which you and your attorney are expected to attend. Dated: July 1, 2021 ICE MILLER LLP MORGAN,LEWIS&BOCKIUSLLP Craig A. Wolfe By: /s/ Jeffrey A. Hokanson Andrew J. Gallo Jeffrey A. Hokanson (No. 14579-49) 101 Park Avenue One American Square, Suite 2900 New York, NY 10178 Indianapolis, IN 46282-0200 Telephone: (212) 309-6000 Telephone: (317) 236-2100 craig.wolfe@morganlewis.com Jeff.Hokanson@icemiller.com andrew.gallo@morganlewis.com Counsel to the Debtors and Debtors-in-Possession

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