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Full title: Response / State Of New Hampshires Response And Reservation Of Rights Regarding The Amended Emergency Ex Parte Motion Of The Debtor For Entry Of Interim And Final Orders (I) Authorizing The Use Of Cash Collateral, (II) Granting Adequate Protection, (III) Modifying The Automatic Stay, (IV) Setting A Final Hearing, And (V) Granting Related Relief Filed by Interested Parties New Hampshire Department of Justice, Charitable Trust Director, State of New Hampshire Department of Insurance, State of New Hampshire Director of Charitable Trusts (RE: related document(s) 22 Motion for Conditional Use of Cash Collateral filed by Debtor The Prospect-Woodward Home, 25 Motion for Conditional Use of Cash Collateral filed by Debtor The Prospect-Woodward Home) (Helman, Andrew) (Entered: 09/02/2021)

Document posted on Sep 1, 2021 in the bankruptcy, 3 pages and 0 tables.

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STATE OF NEW HAMPSHIRE’S RESPONSE AND RESERVATION OF RIGHTS REGARDING THE AMENDED EMERGENCY EX PARTE MOTION OF THE DEBTOR FOR ENTRY OF INTERIM AND FINAL ORDERS (I) AUTHORIZING THE USE OF CASH COLLATERAL, (II)The State respectfully requests that it be named as a notice party with respect to financial reporting, including weekly reporting, and notices of any defaults under the proposed order authorizing use of property that may be cash collateral.The State reserves all of its rights to object to the Cash Collateral Motion at or before a final hearing on the use of cash collateral.J. Christopher Marshall James T. Boffetti, Associate Attorney General J. Christopher Marshall (502) 587-3545 gina.young@dentons.com CERTIFICATE OF SERVICE I hereby certify that on this date I served the foregoing pleading on each person/entity receiving service in this Case through the Court’s CM/ECF electronic filing system.

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UNITED STATES BANKRUPTCY COURT DISTRICT OF NEW HAMPSHIRE In re: ) ) Chapter 11 The Prospect-Woodward Home, ) ) Case No. 21-10523 Debtor. ) ) STATE OF NEW HAMPSHIRE’S RESPONSE AND RESERVATION OF RIGHTS REGARDING THE AMENDED EMERGENCY EX PARTE MOTION OF THE DEBTOR FOR ENTRY OF INTERIM AND FINAL ORDERS (I) AUTHORIZING THE USE OF CASH COLLATERAL, (II) GRANTING ADEQUATE PROTECTION, (III) MODIFYING THE AUTOMATIC STAY, (IV) SETTING A FINAL HEARING, AND (V) GRANTING RELATED RELIEF The State of New Hampshire (the “State”), acting through the New Hampshire Department of Insurance (“DOI”) files this response and reservation of rights regarding the Amended Emergency Ex Parte Motion of Debtor for Entry of Interim and Final Orders (I) Authorizing the Use of Cash Collateral, (II) Granting Adequate Protection, (III) Modifying the Automatic Stay, (IV) Setting a Final Hearing, and (V) Granting Related Relief [Dkt. No. 25] (the “Cash Collateral Motion”), filed by The Prospect-Woodward Home (the “Debtor”). In support, the State respectfully states as follows: RESPONSE AND RESERVATION OF RIGHTS 1. The State respectfully requests that it be named as a notice party with respect to financial reporting, including weekly reporting, and notices of any defaults under the proposed order authorizing use of property that may be cash collateral. 2. The State reserves all of its rights to object to the Cash Collateral Motion at or before a final hearing on the use of cash collateral.

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COMPLIANCE WITH LBR 7102(b)(2) 3. The State respectfully requests that the Court waive and dispense with the requirements set forth in LBR 7102(b)(2), to the extent this rule requires a memorandum of law in support of the State’s filing. The State makes no legal or factual arguments requiring such a memorandum at this time. Respectfully submitted, The State of New Hampshire, acting through its attorneys Dated: September 2, 2021 /s/ J. Christopher Marshall James T. Boffetti, Associate Attorney General J. Christopher Marshall 33 Capitol Street Concord, New Hampshire 03301-6397 (603) 271-3650 (Mr. Boffetti) (603) 271-1210 (Mr. Marshall) james.t.boffetti@doj.nh.gov c.j.marshall@doh.nh.gov and /s/ Andrew C. Helman Andrew C. Helman (admitted pro hac vice) DENTONS BINGHAM GREENEBAUM, LLP 254 Commercial Street, Suite 245 Merrill’s Wharf Portland, Maine 04101 (207) 619-0919 andrew.helman@dentons.com Gina M. Young (admitted pro hac vice) DENTONS BINGHAM GREENEBAUM, LLP 3500 PNC Tower 101 S. Fifth St. Louisville, KY 40202 (502) 587-3545 gina.young@dentons.com

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CERTIFICATE OF SERVICE I hereby certify that on this date I served the foregoing pleading on each person/entity receiving service in this Case through the Court’s CM/ECF electronic filing system. September 2, 2021 /s/ Andrew C. Helman Andrew C. Helman (admitted pro hac vice) Dentons Bingham Greenebaum LLP 254 Commercial Street, Suite 245 Portland, ME 04101 (207) 619-0919 andrew.helman@dentons.com

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