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Full title: Motion for Jeremy R. Johnson to Appear pro hac vice Filed by Debtor The Prospect-Woodward Home (Graham, Owen) (Entered: 08/30/2021)

Document posted on Aug 29, 2021 in the bankruptcy, 6 pages and 0 tables.

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I, Owen R. Graham, a member in good standing of the bar of the United States District Court for the District of New Hampshire, move pursuant to Rule 83.2 of the United States District Court Rules for the District of New Hampshire and LBR 2090-1(b), for the admission of Jeremy R. Johnson of Polsinelli PC, 600 3rd Avenue, 42nd Floor, New York, New York, to practice in this court, pro hac vice, in connection with the above-captioned case on behalf of the Debtor, The Prospect-Woodward Home, and in any and all proceedings arising in, under, or related to this case.As more fully set forth in his attached Declaration, Mr. Johnson is a member in good standing of the state bar of New York and is admitted to practice in the United States District Courts for the Southern and Eastern Districts of New York.I, Jeremy R. Johnson, pursuant to Rule 83.2 of the United States District Court Rules for the District of New Hampshire and LBR 2090-1(b), hereby certify that I am eligible for admission to this Court as follows: 1.I am an attorney at the law firm of Polsinelli PC, 600 3rd Avenue, 42nd Floor, New York, NY. ) ) ORDER ON MOTION TO ADMIT JEREMY R. JOHNSON TO PRACTICE PRO HAC VICE Upon consideration of the Motion to Admit Jeremy R. Johnson to Practice Pro Hac Vice (the "Motion"); no further notice being necessary, and good cause having been shown; IT IS HEREBY ORDERED that: 1.

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UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF NEW HAMPSHIRE ) In re: ) ) Chapter 11 The Prospect-Woodward Home, ) Case No. 21-10523-BAH ) Debtor. ) ) MOTION FOR ADMISSION TO PRACTICE PRO HAC VICE I, Owen R. Graham, a member in good standing of the bar of the United States District Court for the District of New Hampshire, move pursuant to Rule 83.2 of the United States District Court Rules for the District of New Hampshire and LBR 2090-1(b), for the admission of Jeremy R. Johnson of Polsinelli PC, 600 3rd Avenue, 42nd Floor, New York, New York, to practice in this court, pro hac vice, in connection with the above-captioned case on behalf of the Debtor, The Prospect-Woodward Home, and in any and all proceedings arising in, under, or related to this case. In support of my motion, I state as follows: 1. The Prospect-Woodward Home is the debtor in the above-captioned Chapter 11 case. 2. Jeremy R. Johnson is an attorney with the law firm of Polsinelli PC. 3. As more fully set forth in his attached Declaration, Mr. Johnson is a member in good standing of the state bar of New York and is admitted to practice in the United States District Courts for the Southern and Eastern Districts of New York.

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4. The Declaration of Mr. Johnson is attached hereto as Exhibit A. As set forth in the Declaration, Mr. Johnson is not currently suspended or disbarred in any jurisdiction, and there are no pending disciplinary matters against him. WHEREFORE, the Debtor respectfully requests entry of an order substantially in the form attached hereto as Exhibit B, granting the relief requested herein and granting such other relief as is just and proper. Respectfully submitted, THE PROSPECT-WOODWARD HOME By its counsel, Date: August 30, 2021 /s/ Owen R. Graham HINCKLEY, ALLEN & SNYDER LLP Daniel M. Deschenes, Esq. (Bar No. 14889) Owen R. Graham, Esq. (Bar No. 266701) 650 Elm Street, Suite 500 Manchester, NH 0310 Telephone: (603) 225-4334 Facsimile: (603) 224-8350 ddeschenes@hinckleyallen.com ograham@hinckleyallen.com -and- Jennifer V. Doran, Esq. (pro hac pending) 28 State Street Boston, MA 02109-1775 Telephone: (617) 345-9000 Facsimile: (617) 345-9020 jdoran@hinckleyallen.com

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-and- POLSINELLI PC Jeremy R. Johnson, Esq. (pro hac pending) Stephen J. Astringer, Esq. (pro hac pending) 600 3rd Avenue, 42nd Floor New York, NY 10016 Telephone: (646) 289-6507 Facsimile: (212) 320-0479 Jeremy.johnson@polsinelli.com sastringer@polsinelli.com CERTIFICATE OF SERVICE I hereby certify that on this day a true copy of the attached Motion for Admission to Practice Pro Hac Vice was served upon the parties listed in the Court’s ECF system. Date: August 30, 2021 /s/ Owen R. Graham Owen R. Graham

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UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF NEW HAMPSHIRE ) In re: ) ) Chapter 11 The Prospect-Woodward Home, ) Case No. 21-10523-BAH ) Debtor. ) ) DECLARATION OF JEREMY R. JOHNSON IN SUPPORT OF MOTION TO BE ADMITTED PRO HAC VICE I, Jeremy R. Johnson, pursuant to Rule 83.2 of the United States District Court Rules for the District of New Hampshire and LBR 2090-1(b), hereby certify that I am eligible for admission to this Court as follows: 1. I am an attorney at the law firm of Polsinelli PC, 600 3rd Avenue, 42nd Floor, New York, NY. My firm’s telephone number is (646) 289-6507. 2. Since 2005, I have been admitted to practice law in the State of New York. I gained admission to the United States District Courts for the Southern and Eastern Districts of New York in 2009 and 2021, respectively. 3. I am a member in good standing in all of the bars identified above and am not currently suspended or disbarred in any jurisdiction and have no disciplinary proceedings pending in any jurisdiction. 4. I submit to the disciplinary jurisdiction of this Court for any alleged misconduct, which occurs in the preparation or course of this action. I also certify that I am familiar with the requirements of LBR 2090-2 regarding disciplinary jurisdiction and rules.

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5. I am familiar with, and have associated with local counsel who is familiar with and has read, the substantive and procedural requirements of the local rules and the administrative orders of the Bankruptcy Court for the District of New Hampshire. 6. I am familiar with the requirements of LBR 5005-4 and AO 5005-4 regarding electronic filing and will promptly secure a login and password from this Court upon acceptance of this application. Signed under pains and penalties of perjury this 30th day of August, 2021. /s/ Jeremy R. Johnson Jeremy R. Johnson, Esq. Polsinelli PC 600 3rd Avenue, 42nd Floor New York, NY 10016 Telephone: (646) 289-6507 Facsimile: (212) 320-0479 Jeremy.johnson@polsinelli.com

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UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF NEW HAMPSHIRE ) In re: ) ) Chapter 11 The Prospect-Woodward Home, ) Case No. 21-10523-BAH ) Debtor. ) ) ORDER ON MOTION TO ADMIT JEREMY R. JOHNSON TO PRACTICE PRO HAC VICE Upon consideration of the Motion to Admit Jeremy R. Johnson to Practice Pro Hac Vice (the "Motion"); no further notice being necessary, and good cause having been shown; IT IS HEREBY ORDERED that: 1. The Motion is GRANTED. 2. Jeremy R. Johnson is admitted to practice in this Court in the above-captioned case, and in any and all proceedings arising in, under or relating to the case. 3. Attorney Johnson and local counsel are excused from the provision of LR 83.2(b) requiring local counsel to attend all proceedings before this Court in this case. Date: _________________ _________________________ Hon. Bruce A. Harwood United States Bankruptcy Judge

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