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Full title: Motion for expedited hearing(related documents 840 Motion to continue) Motion for Setting and Request for Expedited Consideration Filed by Creditor Origin Bank (Attachments: # 1 Proposed Order Proposed Order) (Lankford, Lynda)

Document posted on Aug 19, 2021 in the bankruptcy, 2 pages and 0 tables.

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Origin Bank (“Origin”) hereby requests that the Court consider on an expedited basis, with or without a hearing, Origin Bank’s Emergency Motion to Continue Hearing on Motion Pursuant to Rule 4001(d) for Order Granting Origin Bank Relief From Automatic Stay [Docket No. 840] (“Motion”)1, requesting a continuance of the hearing on its Motion Pursuant to Rule 4001(d) for Order Granting Origin Bank Relief From the Automatic Stay [Docket No.822] (the “Lift Stay Motion”).As reflected in the Motion, Origin suggests that the hearing on the Lift Stay Motion be reset by subsequent notice to a date to occur prior to on in conjunction with other hearing(s) on motions that are expected to be filed by the Trustee.The undersigned certifies that she has corresponded with David Elmquist, counsel for the Chapter 7 Trustee, Mark J. Petrocchi, counsel for Mr. Warren, and Katherine B. Clark, counsel for JMFM, concerning the relief requested in the Motion.Counsel for the Trustee, Mr. Warren, and JMFM have each indicated that they consent to continuance of the hearing on the Lift Stay Motion.

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J. Robert Forshey State Bar No. 07264200 Lynda L. Lankford State Bar No. 11935020 FORSHEY & PROSTOK LLP 777 Main St., Suite 1550 Ft. Worth, TX 76102 Telephone: (817) 877-8855 Facsimile: (817) 877-4151 bforshey@forsheyprostok.com llankford@forsheyprostok.com ATTORNEYS FOR ORIGIN BANK IN THE UNITED STATES BANKRUPTCY COURT FOR THE NORTHERN DISTRICT OF TEXAS DALLAS DIVISION ) IN RE: ) CHAPTER 7 CASE ) THE LASALLE GROUP, ) CASE NO. 19-31484-sgj-7 ) DEBTOR. ) ) MOTION FOR SETTING AND REQUEST FOR EXPEDITED CONSIDERATION TO THE HONORABLE STACY G.C. JERNIGAN, UNITED STATES BANKRUPTCY JUDGE: 1. Origin Bank (“Origin”) hereby requests that the Court consider on an expedited basis, with or without a hearing, Origin Bank’s Emergency Motion to Continue Hearing on Motion Pursuant to Rule 4001(d) for Order Granting Origin Bank Relief From Automatic Stay [Docket No. 840] (“Motion”)1, requesting a continuance of the hearing on its Motion Pursuant to Rule 4001(d) for Order Granting Origin Bank Relief From the Automatic Stay [Docket No. 822] (the “Lift Stay Motion”). 2. The Lift Stay Motion is currently set for hearing on Monday, August 23, 2021 at 1:30 p.m. 3. All parties who have filed a Response to the Lift Stay Motion consent to continuance of the hearing. 4. As reflected in the Motion, Origin suggests that the hearing on the Lift Stay Motion be reset by subsequent notice to a date to occur prior to on in conjunction with other hearing(s) on motions that are expected to be filed by the Trustee. 1 Capitalized terms used herein and not otherwise defined shall have the meanings ascribed to such terms in the Motion.

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5. Origin seeks emergency consideration of its Motion because the hearing sought to be continued is set this Monday at 1:30 p.m. 6. Notice of the Motion is sufficient in that the parties most affected by the continuance have been advised of the Motion and consent to the requested relief. Dated: August 20, 2021. Respectfully submitted, /s/ Lynda L. Lankford J. Robert Forshey State Bar No. 07264200 Lynda L. Lankford State Bar No. 11935020 FORSHEY & PROSTOK, L.L.P. 777 Main Street, Suite 1550 Fort Worth, Texas 76102 Phone: (817) 877-8855 Fax: (817) 877-4151 bforshey@forsheyprostok.com llankford@forsheyprostok.com ATTORNEYS FOR ORIGIN BANK CERTIFICATE OF CONFERENCE The undersigned certifies that she has corresponded with David Elmquist, counsel for the Chapter 7 Trustee, Mark J. Petrocchi, counsel for Mr. Warren, and Katherine B. Clark, counsel for JMFM, concerning the relief requested in the Motion. Counsel for the Trustee, Mr. Warren, and JMFM have each indicated that they consent to continuance of the hearing on the Lift Stay Motion. /s/ Lynda L. Lankford L:\JPROSTOK\Origin Bank (LaSalle Group) (CrR) #6029\Pleadings 19-31484-sgj11\Req for Exp Hrg 8.20.21.docx

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