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Full title: Certificate of No Objection Pursuant to LR 9075-2 to the Debtors' Third Motion to Extend Exclusivity (related document(s)307) Filed by Andrew R. Gottesman on behalf of Cosmoledo, LLC. (Gottesman, Andrew) (Entered: 05/27/2021)

Document posted on May 26, 2021 in the bankruptcy, 6 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

The undersigned counsel to Cosmoledo LLC (“Cosmoledo”) and certain of its affiliates, the debtors and debtors in possession in the above-captioned cases (collectively, the “Debtors”), hereby certifies as follows: 1. Breadroll, LLC, (3279); 688 Bronx Commissary, LLC (6515); 95 Broad Commissary, LLC (2335); 178 Bruckner Commissary, LLC (2581); 8 West Bakery, LLC (6421); NYC 1294 Third Ave Bakery, LLC (2001); 921 Broadway Bakery, LLC (2352); 1800 Broadway Bakery, LLC (8939); 1535 Third Avenue Bakery, LLC (1011); 2161 Broadway Bakery, LLC (2767); 210 Joralemon Bakery, LLC (4779); 1377 Sixth Avenue Bakery, LLC (9717); 400 Fifth Avenue Bakery, LLC (6378); 1400 Broadway Bakery, LLC (8529); 575 Lexington Avenue Bakery, LLC (9884); 685 Third Avenue Bakery, LLC (9613); 370 Lexington Avenue Bakery, LLC (0672); 787 Seventh Avenue Bakery, LLC (6846); 339 Seventh Avenue Bakery, LLC (1406); and 55 Hudson Yards Bakery, LLC (7583).Upon the motion (the “Motion”)2 of the Debtors for entry of an order (this “Order”) pursuant to Section 1121 of the Bankruptcy Code, extending the Debtors’ Exclusive Periods, without prejudice to the Debtor’s right to seek further extensions to the Exclusive Periods; and the Court having reviewed the Motion and held a hearing to consider the relief requested in the Motion (the “Hearing”); and, no objections to the Motion having been received; and after due deliberation, the Court having determined that the legal and factual bases set forth in the Motion and at the Hearing establish just cause for the relief granted herein and that the requested relief is in the best interest of the Debtors, their estates, their creditors, and all parties in interests, it is hereby FOUND AND DETERMINEDThis Court has jurisdiction over this matter under 28 U.S.C. §§ 157 and 1334 and 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification number, include: Cosmoledo, LLC (6787);Breadroll, LLC, (3279); 688 Bronx Commissary, LLC (6515); 95 Broad Commissary, LLC (2335); 178 Bruckner Commissary, LLC (2581); 8 West Bakery, LLC (6421); NYC 1294 Third Ave Bakery, LLC (2001); 921 Broadway Bakery, LLC (2352); 1800 Broadway Bakery, LLC (8939); 1535 Third Avenue Bakery, LLC (1011); 2161 Broadway Bakery, LLC (2767); 210 Joralemon Bakery, LLC (4779); 1377 Sixth Avenue Bakery, LLC (9717); 400 Fifth Avenue Bakery, LLC (6378); 1400 Broadway Bakery, LLC (8529); 575 Lexington Avenue Bakery, LLC (9884); 685 Third Avenue Bakery, LLC (9613); 370 Lexington Avenue Bakery, LLC (0672); 787 Seventh Avenue Bakery, LLC (6846); 339 Seventh Avenue Bakery, LLC (1406); and 55 Hudson Yards Bakery, LLC (7583).

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MINTZ & GOLD LLP 600 Third Avenue, 25th Floor New York, New York 10016 Telephone: (212) 696-4848 Facsimile: (212) 696-1231 Andrew R. Gottesman, Esq. Maria E. Garcia, Esq. Gabriel Altman, Esq. Attorneys for the Debtors UNITED STATES BANKRUPTCY COURT Chapter 11 SOUTHERN DISTRICT OF NEW YORK In re: Case No. 20-12117 (MEW) COSMOLEDO, LLC, et al.1 Jointly Administered Debtors. CERTIFICATE OF NO OBJECTION TO THE DEBTORS MOTION TO EXTEND THE EXCLUSIVE PERIODS TO FILE A CHAPTER 11 PLAN AND TO SOLICIT ACCEPTANCES THEREOF PURSUANT TO SECTION 1121(d) OF THE BANKRUPTCY CODE The undersigned counsel to Cosmoledo LLC (“Cosmoledo”) and certain of its affiliates, the debtors and debtors in possession in the above-captioned cases (collectively, the “Debtors”), hereby certifies as follows: 1. On May 11, 2021, the Debtors filed a Third Motion to Extend the Exclusive Periods to File A Chapter 11 Plan and to Solicit Acceptances Thereof Pursuant to Section 1121(D) Of the Bankruptcy Code (the “Motion”). [ECF No.: 307].2 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification number, include: Cosmoledo, LLC (6787); Breadroll, LLC, (3279); 688 Bronx Commissary, LLC (6515); 95 Broad Commissary, LLC (2335); 178 Bruckner Commissary, LLC (2581); 8 West Bakery, LLC (6421); NYC 1294 Third Ave Bakery, LLC (2001); 921 Broadway Bakery, LLC (2352); 1800 Broadway Bakery, LLC (8939); 1535 Third Avenue Bakery, LLC (1011); 2161 Broadway Bakery, LLC (2767); 210 Joralemon Bakery, LLC (4779); 1377 Sixth Avenue Bakery, LLC (9717); 400 Fifth Avenue Bakery, LLC (6378); 1400 Broadway Bakery, LLC (8529); 575 Lexington Avenue Bakery, LLC (9884); 685 Third Avenue Bakery, LLC (9613); 370 Lexington Avenue Bakery, LLC (0672); 787 Seventh Avenue Bakery, LLC (6846); 339 Seventh Avenue Bakery, LLC (1406); and 55 Hudson Yards Bakery, LLC (7583). 2

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2. As set forth in the Motion and the notice thereof, objections to the relief requested in the Motion were required to be filed and served by no later than May 25, 2021 at 4:00 p.m. (EST) (the “Objection Deadline”). This Certificate of No Objection is being filed not less than forty-eight (48) hours after the expiration of the Objection Deadline. 3. An Affidavit of Service attesting to the date, form and manner of service was filed by Donlin, Recano & Company, Inc., the Debtors’ claims agent, on May 13, 2021 [ECF No. 311] (the “Affidavit of Service”). As set forth in the Affidavit of Service, the Motion was served upon the parties listed therein on May 11, 2021. 4. As of the date hereof, no objection, responsive pleading or request for a hearing with respect to the Motion has been served on the undersigned proposed counsel. In addition, the undersigned has reviewed the docket in the above-captioned case, and no objection, responsive pleading with respect to the Motion appears thereon. 5. The Debtors respectfully request that an order granting the relief sought in the Motion, substantially in the form of the proposed order annexed hereto, or following the hearing scheduled for the Court to consider the Motion. Dated: New York, New York May 27, 2021 MINTZ & GOLD LLP By: /s/ Andrew R. Gottesman Andrew R. Gottesman Gabriel Altman 600 Third Avenue, 25th Floor New York, New York 10016 gottesman@mintzanndgold.com altman@mintzandgold.com Telephone: (212) 696-4848 Facsimile: (212) 696-1231 Attorneys for the Debtors

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PROPOSED ORDER

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UNITED STATES BANKRUPTCY COURT Chapter 11 SOUTHERN DISTRICT OF NEW YORK In re: Case No. 20-12117 (MEW) COSMOLEDO, LLC, et al.1 Jointly Administered Debtors. ORDER EXTENDING THE EXCLUSIVE PERIODS TO FILE A CHAPTER 11 PLAN AND TO SOLICIT ACCEPTANCES THEREOF PURSUANT TO SECTION 1121(d) OF THE BANKRUPTCY CODE Upon the motion (the “Motion”)2 of the Debtors for entry of an order (this “Order”) pursuant to Section 1121 of the Bankruptcy Code, extending the Debtors’ Exclusive Periods, without prejudice to the Debtor’s right to seek further extensions to the Exclusive Periods; and the Court having reviewed the Motion and held a hearing to consider the relief requested in the Motion (the “Hearing”); and, no objections to the Motion having been received; and after due deliberation, the Court having determined that the legal and factual bases set forth in the Motion and at the Hearing establish just cause for the relief granted herein and that the requested relief is in the best interest of the Debtors, their estates, their creditors, and all parties in interests, it is hereby FOUND AND DETERMINED THAT A. This Court has jurisdiction over this matter under 28 U.S.C. §§ 157 and 1334 and 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification number, include: Cosmoledo, LLC (6787); Breadroll, LLC, (3279); 688 Bronx Commissary, LLC (6515); 95 Broad Commissary, LLC (2335); 178 Bruckner Commissary, LLC (2581); 8 West Bakery, LLC (6421); NYC 1294 Third Ave Bakery, LLC (2001); 921 Broadway Bakery, LLC (2352); 1800 Broadway Bakery, LLC (8939); 1535 Third Avenue Bakery, LLC (1011); 2161 Broadway Bakery, LLC (2767); 210 Joralemon Bakery, LLC (4779); 1377 Sixth Avenue Bakery, LLC (9717); 400 Fifth Avenue Bakery, LLC (6378); 1400 Broadway Bakery, LLC (8529); 575 Lexington Avenue Bakery, LLC (9884); 685 Third Avenue Bakery, LLC (9613); 370 Lexington Avenue Bakery, LLC (0672); 787 Seventh Avenue Bakery, LLC (6846); 339 Seventh Avenue Bakery, LLC (1406); and 55 Hudson Yards Bakery, LLC (7583). 2

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the Amended Standing Order of Reference from the United States District Court for the Southern District of New York, dated January 31, 2012. B. This is a core proceeding pursuant to 28 U.S.C. § 157(b). C. This Court may enter a final order consistent with Article III of the United States Constitution. D. Venue of this proceeding and the Motion in this district is proper pursuant to 28 U.S.C. §§ 1408 and 1409. E. The Debtors’ notice of the Motion and opportunity for a hearing on the Motion were appropriate under the circumstances and that no other notice need be provided; and it is hereby ORDERED THAT 1. The Motion is granted as and to the extent set forth herein. 2. The Debtors’ Exclusive Filing Period is extended through and including June 10, 2021. 3. The Debtors’ Exclusive Solicitation Period is extended through and including July 31, 2021. 4. Nothing herein shall prejudice the Debtors’ rights to seek further extensions of the Exclusive Periods consistent with Section 1121(d) of the Bankruptcy Code. 5. Nothing herein shall create, or is intended to create, any rights in favor of or enhance the status of any claim held by any party. 6. The Debtors are authorized to take all actions necessary to effectuate the relief granted in this Order.

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7. The Court retains exclusive jurisdiction with respect to all matters arising from or related to the implementation, interpretation, and enforcement of this Order. Dated: , 2020 New York, New York Hon. Michael E. Wiles United States Bankruptcy Judge

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