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Full title: Certificate of No Objection Regarding Debtors Motion for Entry of an Order Further Extending the Exclusive Periods During Which Only the Debtor May File a Chapter 11 Plan and Solicit Acceptances Thereof (related document(s)803) Filed by Klausner Lumber Two LLC. (Butz, Daniel) (Entered: 07/29/2021)

Document posted on Jul 28, 2021 in the bankruptcy, 2 pages and 0 tables.

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LLC, Case No. 20-11518-KBO Debtor.1 Re: D.I. 803 CERTIFICATE OF NO OBJECTION REGARDING DEBTOR’S MOTION FOR ENTRY OF AN ORDER FURTHER EXTENDING THE EXCLUSIVE PERIODS DURING WHICH ONLY THE DEBTOR MAY FILEThe undersigned hereby certifies that, as of the date hereof, Morris, Nichols, Arsht & Tunnell LLP (“Morris Nichols”) has received no answer, objection, comments, or other responsive pleading to the Debtor’s Motion for Entry of an Order Further Extending the Exclusive Periods During Which Only the Debtor May File a Chapter 11 Plan and Solicit Acceptances Thereof [D.I. 803]The undersigned further certifies that Morris Nichols has reviewed the Court’s docket in these cases and that no answer, objection, comments, or other responsive pleading to the Motion appears thereon.Pursuant to the notice of hearing regarding the Motion, objections to the Motion were to be filed and served no later than June 28, 2021, at 4:00 p.m. (EDT).The Debtor’s mailing address is P.O. Box C, Redding Ridge CT, 06876.

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re Chapter 11 Klausner Lumber Two LLC, Case No. 20-11518-KBO Debtor.1 Re: D.I. 803 CERTIFICATE OF NO OBJECTION REGARDING DEBTOR’S MOTION FOR ENTRY OF AN ORDER FURTHER EXTENDING THE EXCLUSIVE PERIODS DURING WHICH ONLY THE DEBTOR MAY FILE A CHAPTER 11 PLAN AND SOLICIT ACCEPTANCES THEREOF The undersigned hereby certifies that, as of the date hereof, Morris, Nichols, Arsht & Tunnell LLP (“Morris Nichols”) has received no answer, objection, comments, or other responsive pleading to the Debtor’s Motion for Entry of an Order Further Extending the Exclusive Periods During Which Only the Debtor May File a Chapter 11 Plan and Solicit Acceptances Thereof [D.I. 803] (the “Motion”), filed on June 7, 2021. The undersigned further certifies that Morris Nichols has reviewed the Court’s docket in these cases and that no answer, objection, comments, or other responsive pleading to the Motion appears thereon. Pursuant to the notice of hearing regarding the Motion, objections to the Motion were to be filed and served no later than June 28, 2021, at 4:00 p.m. (EDT). WHEREFORE, Klausner Lumber Two LLC (“Klausner”) respectfully requests that the Court enter the order attached to the Motion at its earliest convenience. 1 The last four digits of the Debtor’s EIN is 4897. The Debtor’s mailing address is P.O. Box C, Redding Ridge CT, 06876.

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Dated: July 29, 2021 MORRIS, NICHOLS, ARSHT & TUNNELL LLP Wilmington, Delaware /s/Daniel B. Butz Robert J. Dehney (No. 3578) Eric Schwartz (No. 3134) Daniel B. Butz (No. 4227) 1201 N. Market Street, 16th Floor P.O. Box 1347 Wilmington, Delaware 19899-1347 Telephone: (302) 658-9200 Facsimile: (302) 658-3989 Email: dbutz@morrisnichols.com and WESTERMAN BALL EDERER MILLER ZUCKER & SHARFSTEIN, LLP Thomas A. Draghi (admitted pro hac vice) Alison Ladd (admitted pro hac vice) 1201 RXR Plaza Uniondale, New York 11556 Telephone: (516) 622-9200 Facsimile: (516) 622-9212 Email: tdraghi@westermanllp.com aladd@westermanllp.com Co-counsel to Klausner Lumber Two LLC

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