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Full title: Certification of Ballots Cast to Assume or Reject the Debtors' Plan of Liquidation filed by Andrew R. Gottesman on behalf of Cosmoledo, LLC. (Gottesman, Andrew) (Entered: 08/23/2021)

Document posted on Aug 22, 2021 in the bankruptcy, 15 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

Cosmoledo, LLC (“Cosmoledo”), and its affiliated debtors and debtors in possession in the above-captioned cases (collectively the “Debtors”), by and through its undersigned counsel, hereby file this Voting Certification pursuant Rule 3018-1 of the Local Bankruptcy Rules for the Southern District of New York and the Order Approving (I) the Adequacy of the Amended Disclosure Statement; (II) Solicitation and Notice Procedures; (III) Forms of Ballots and Notices in Connection Therewith; and (IV) Certain Dates with Respect Thereto (the "Disclosure Statement Order")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).All Ballots were to be delivered to DRC as follows: (a) if by hand delivery or overnight courier, to Donlin, Recano & Company, Inc., Re: Cosmoledo, LLC, et al., 6201 15th Avenue, Brooklyn, New York 11219; (b) if by First Class mail, to Donlin, Recano & Company, Inc., Re: Cosmoledo, LLC, et al., P.O. Box 199043 Blythebourne Station, Brooklyn, NY 11219; or (c) if by using the online vote portal, by visiting www.donlinrecano.com/clients/mk/vote and entering the Unique E-Ballot Identification number provided on the Ballot.Except as otherwise indicated, all facts set forth herein are based upon my personal knowledge, information supplied to me by the Debtors or its advisors, including DRC, and my 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).All Ballots were to be delivered to DRC as follows: (a) if by hand delivery or overnight

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Document Contents

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. 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. VOTING CERTIFICATION Cosmoledo, LLC (“Cosmoledo”), and its affiliated debtors and debtors in possession in the above-captioned cases (collectively the “Debtors”), by and through its undersigned counsel, hereby file this Voting Certification pursuant Rule 3018-1 of the Local Bankruptcy Rules for the Southern District of New York and the Order Approving (I) the Adequacy of the Amended Disclosure Statement; (II) Solicitation and Notice Procedures; (III) Forms of Ballots and Notices in Connection Therewith; and (IV) Certain Dates with Respect Thereto (the "Disclosure Statement Order") [ECF No. 361] to certify the voting results on the Debtors’ Plan of Liquidation [ECF No. 324] (as amended or supplemented, the “Plan”). The 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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Declaration of John Burlacu of Donlin, Recano & Company, Inc. Regarding the Solicitation and Tabulation of Votes Cast on Debtors’ Plan of Liquidation (the “Burlacu Declaration”), is annexed hereto as Exhibit A. 1. On July 20, 2021, the Court entered the Disclosure Statement Order establishing, among other things, certain solicitation and voting tabulation procedures (the “Solicitation Procedures”). 2. Pursuant to the Plan and Solicitation Procedures, only Holders of Claims in Class 3 and Class 4, as set forth below, as of the Voting Record Date were entitled to vote to accept or reject the Plan (the “Voting Classes”). No other Classes were entitled to vote on the Plan.
Table 1 on page 2. Back to List of Tables
Class Type of Claim
Class 3 PPP Eligible Claims
Class 4 General Unsecured Claims
3. On or around July 23, 2021, DRC posted links on the Debtors’ restructuring website maintained by DRC at https://www.donlinrecano.com/Clients/mk/Index to provide parties with access to, among other documents, copies of the Plan and the Disclosure Statement Order free of charge. 4. In accordance with the Disclosure Statement Order, on July 23, 2021, DRC caused Solicitation Packages to be distributed to Holders of Claims in the Voting Classes and the Impaired Non-Voting Classes as of the Voting Record Date. Proof of service of the Solicitation Packages and non-voting packages are set forth in the Affidavit of Donlin, Recano and Company, Inc. Regarding Service of Solicitation Packages with Respect to the Debtors’ Plan of Liquidation [Docket No. 366]. I. General Tabulation Process. 5. As specified in the Disclosure Statement Order, July 20, 2021, was established as the Voting Record Date for determining the Holders of Claims in the Voting Classes entitled to vote to accept or reject the Plan.

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6. Pursuant to the Disclosure Statement Order, DRC relied on the following information to identify and solicit Holders of Claims in the Voting Classes: (a) the Debtors’ Schedules of Assets and Liabilities and Statements of Financial Affairs filed with the Court; (b) the official claims register maintained by DRC as of July 20, 2021; (c) claims information pertaining to the Debtors’ chapter 11 case as reflected in DRC’s internal database to which this information was loaded; and (d) other information and instructions provided by the Debtors and/or its advisors. Using this information, and with guidance from the Debtors and its advisors, DRC created a voting database reflecting the name, address, voting amount, and classification of Claims in the Voting Classes. Using this voting database and the form of Ballots approved under the Disclosure Statement Order, DRC generated Ballots for Holders of Claims entitled to vote to accept or reject the Plan. 7. Ballots returned by online submission, regular mail, hand delivery, or overnight delivery were received by personnel of DRC at its office in Brooklyn, New York. Ballots received by DRC were processed in accordance with the Disclosure Statement Order. Upon receiving Ballots, DRC took the following actions: a. The envelopes containing the Ballots were opened, and the contents were removed and stamped with the date and time received. Each Ballot was then scanned into DRC’s system and sequentially numbered (the “Sequence Number”); b. DRC then entered into a computer database all pertinent information from each of the Ballots, including among other things, the date and time the Ballot was received, the Sequence Number, the voting dollar amount, and whether the creditor submitting the Ballot voted to accept or reject the Plan. 8. In order for a Ballot to be counted as valid, the Ballot must have been properly completed in accordance with the Disclosure Statement Order and executed by the relevant Holder, or such Holder’s authorized representative, and must have been actually received by DRC by 5:00 p.m. (prevailing Eastern

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Time) on August 18, 2021 (the “Voting Deadline”).2 All Ballots were to be delivered to DRC as follows: (a) if by hand delivery or overnight courier, to Donlin, Recano & Company, Inc., Re: Cosmoledo, LLC, et al., 6201 15th Avenue, Brooklyn, New York 11219; (b) if by First Class mail, to Donlin, Recano & Company, Inc., Re: Cosmoledo, LLC, et al., P.O. Box 199043 Blythebourne Station, Brooklyn, NY 11219; or (c) if by using the online vote portal, by visiting www.donlinrecano.com/clients/mk/vote and entering the Unique E-Ballot Identification number provided on the Ballot. 9. All validly executed Ballots cast by Holders of Claims in the Voting Classes received by DRC on or before the Voting Deadline were tabulated as outlined in the Disclosure Statement Order. 10. DRC is in possession of the Ballots received by it, and copies of the same are available for review during DRC’s normal business hours at 6201 15th Avenue, Brooklyn, New York 11219. II. The Voting Results. 11. The results of the aforesaid tabulation of properly executed Ballots received on or before the Voting Deadline are set forth below and in the report annexed hereto as Exhibit A (the “Final Tabulation Results”).
Table 1 on page 4. Back to List of Tables
CLASS TOTAL BALLOTS RECEIVED None None None
None Accept None Reject None
None AMOUNT
(% of Amount
Voted)
NUMBER
(% of
Number
Voted)
AMOUNT
(% of Amount
Voted)
NUMBER
(% of Number
Voted)
Class 3 – PPP Eligible
Claims
$7,165,421.12
(100.00%)
4
(00.00%)
$0
(100.00%)
0
(00.00%)
2 One claim holder was granted an extension of the Voting Deadline to 5:00 pm on August 19, 2021, upon request. No additional vote was received.

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Table 1 on page 5. Back to List of Tables
Class 4 – General
Unsecured Claims
$3,374,236.433
(100%)
30
(96.77%)
$1
(0.00%)
1
(3.23%)
12. DRC did not receive any Irregular Ballots (as defined in the Disclosure Statement Order). 13. This Final Voting Certification merely reflects a tabulation of the Ballots received by DRC and does not reflect the Debtors' agreement with or consent to the amount set forth in any Ballot. The Debtors reserve the right to object to or otherwise contest the amount set forth in any Ballot. Dated: New York, New York MINTZ & GOLD LLP August 23, 2021 By: /s/ Andrew R. Gottesman Andrew R. Gottesman Gabriel Altman 600 Third Avenue, 25th Floor New York, New York 10016 Telephone (212) 696-4848 Facsimile (212) 696-1231 gottesman@mintzandgold.com altman@mintzandgold.com Attorneys for the Debtors 3 The $1.00 vote in Class 4 equates to 0.00000029636% of the total amount voted in Class 4. Accordingly, the effective voting percentage in Class 4 is 100% to accept the Plan.

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EXHIBIT A Declaration of John Burlacu

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UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK ----------------------------------------------------------------------- X In re: : : Chapter 11 : Cosmoledo, LLC, et al.1 : Case No. 20-12117 (MEW) : : (Jointly Administered) Debtors. : ----------------------------------------------------------------------- X DECLARATION OF JOHN BURLACU OF DONLIN, RECANO & COMPANY, INC. REGARDING THE SOLICITATION AND TABULATION OF VOTES CAST ON DEBTORS’ PLAN OF LIQUIDATION STATE OF NEW YORK ) ) ss: COUNTY OF KINGS ) I, John Burlacu, declare, under penalty of perjury to the best of my knowledge, information, and belief: 1. I am a Senior Director at Donlin, Recano & Company, Inc. (“DRC”), located at 6201 15th Avenue, Brooklyn, New York 11219. I am over the age of 18 years and competent to testify. 2. I submit this declaration (this “Declaration”) with respect to the solicitation of votes and the tabulation of votes cast on the Debtors’ Plan of Liquidation [Docket No. 324] (the “Plan”). Except as otherwise indicated, all facts set forth herein are based upon my personal knowledge, information supplied to me by the Debtors or its advisors, including DRC, and my 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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review of relevant documents. If I were called to testify, I could and would testify competently as to the facts set forth herein on that basis. 3. In accordance with the Order Authorizing the Employment and Retention of Donlin, Recano & Company, Inc., as Administrative Agent for the Debtors and Debtors-In-Possession Nunc Pro Tunc to the Petition Date [Docket No. 250], DRC was authorized to assist the Debtors in connection with, inter alia, soliciting, receiving, and tabulating Ballots accepting or rejecting the Plan. 2 I. Service and Transmittal of Solicitation Packages and Related Information. 4. On July 21, 2021, the Court entered the Order Approving (I) the Adequacy of the Disclosure Statement; (II) Solicitation and Notice Procedures; (III) Forms of Ballots and Notices in Connection Therewith; and (IV) Certain Dates with Respect Thereto [Docket No. 361] (the “Disclosure Statement Order”) establishing, among other things, certain solicitation and voting tabulation procedures (the “Solicitation Procedures”). 5. DRC worked with the Debtors and its advisors to solicit votes to accept or reject the Plan and to tabulate the Ballots of creditors voting to accept or reject the Plan in accordance with the Solicitation Procedures. Except as otherwise noted, I could and would testify to the following based upon my personal knowledge. 6. Pursuant to the Plan and Solicitation Procedures, only Holders of Claims in Class 3 and Class 4, as set forth below, as of the Voting Record Date were entitled to vote to accept or reject the Plan (the “Voting Classes”). No other Classes were entitled to vote on the Plan. 2 Capitalized terms not otherwise defined herein shall have the meaning ascribed to such terms in the Disclosure Statement.

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Table 1 on page 9. Back to List of Tables
Class Type of Claim
Class 3 PPP Eligible Claims
Class 4 General Unsecured Claims
7. On or around July 23, 2021, DRC posted links on the Debtors’ restructuring website maintained by DRC at https://www.donlinrecano.com/Clients/mk/Index to provide parties with access to, among other documents, copies of the Plan and the Disclosure Statement Order free of charge. 8. In accordance with the Disclosure Statement Order, on July 23, 2021, DRC caused Solicitation Packages to be distributed to Holders of Claims in the Voting Classes and the Impaired Non-Voting Classes as of the Voting Record Date. Proof of service of the Solicitation Packages and non-voting packages are set forth in the Affidavit of Donlin, Recano and Company, Inc. Regarding Service of Solicitation Packages with Respect to the Debtors’ Plan of Liquidation [Docket No. 366]. II. General Tabulation Process. 9. As specified in the Disclosure Statement Order, July 20, 2021 was established as the Voting Record Date for determining the Holders of Claims in the Voting Classes entitled to vote to accept or reject the Plan. 10. Pursuant to the Disclosure Statement Order, DRC relied on the following information to identify and solicit Holders of Claims in the Voting Classes: (a) the Debtors’ Schedules of Assets and Liabilities and Statements of Financial Affairs filed with the Court; (b) the official claims register maintained by DRC as of July 20, 2021; (c) claims information pertaining to the Debtors’ chapter 11 case as reflected in DRC’s internal database to which this information was loaded; and (d) other information and instructions provided by the Debtors

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and/or its advisors. Using this information, and with guidance from the Debtors and its advisors, DRC created a voting database reflecting the name, address, voting amount, and classification of Claims in the Voting Classes. Using this voting database and the form of Ballots approved under the Disclosure Statement Order, DRC generated Ballots for Holders of Claims entitled to vote to accept or reject the Plan. 11. Ballots returned by online submission, regular mail, hand delivery, or overnight delivery were received by personnel of DRC at its office in Brooklyn, New York. Ballots received by DRC were processed in accordance with the Disclosure Statement Order. Upon receiving Ballots, DRC took the following actions: a. The envelopes containing the Ballots were opened, and the contents were removed and stamped with the date and time received. Each Ballot was then scanned into DRC’s system and sequentially numbered (the “Sequence Number”); b. DRC then entered into a computer database all pertinent information from each of the Ballots, including among other things, the date and time the Ballot was received, the Sequence Number, the voting dollar amount, and whether the creditor submitting the Ballot voted to accept or reject the Plan. 12. In order for a Ballot to be counted as valid, the Ballot must have been properly completed in accordance with the Disclosure Statement Order and executed by the relevant Holder, or such Holder’s authorized representative, and must have been actually received by DRC by 5:00 p.m. (prevailing Eastern Time) on August 18, 2021 (the “Voting Deadline”).3 All Ballots were to be delivered to DRC as follows: (a) if by hand delivery or overnight courier, to Donlin, Recano & Company, Inc., Re: Cosmoledo, LLC, et al., 6201 15th Avenue, Brooklyn, New York 11219; (b) if by First Class mail, to Donlin, Recano & Company, Inc., Re: 3 One claim holder was granted an extension of the Voting Deadline to 5:00 pm on August 19, 2021, upon request. No additional vote was received.

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Cosmoledo, LLC, et al., P.O. Box 199043 Blythebourne Station, Brooklyn, NY 11219; or (c) if by using the online vote portal, by visiting www.donlinrecano.com/clients/mk/vote and entering the Unique E-Ballot Identification number provided on the Ballot. 13. All validly executed Ballots cast by Holders of Claims in the Voting Classes received by DRC on or before the Voting Deadline were tabulated as outlined in the Disclosure Statement Order. 14. DRC is in possession of the Ballots received by it, and copies of the same are available for review during DRC’s normal business hours at 6201 15th Avenue, Brooklyn, New York 11219. III. The Voting Results. 15. The results of the aforesaid tabulation of properly executed Ballots received on or before the Voting Deadline are set forth below and in the report annexed hereto as Exhibit A (the “Final Tabulation Results”).
Table 1 on page 11. Back to List of Tables
CLASS TOTAL BALLOTS RECEIVED None None None
None Accept None Reject None
None AMOUNT
(% of Amount
Voted)
NUMBER
(% of
Number
Voted)
AMOUNT
(% of Amount
Voted)
NUMBER
(% of Number
Voted)
Class 3 – PPP Eligible
Claims
$7,165,421.12
(100.00%)
0
(00.00%)
$4
(100.00%)
0
(00.00%)
Class 4 – General
Unsecured Claims
$3,374,236.43
(100.00%)
30
(96.77%)
$1
(0.00%)
1
(3.23%)

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I declare under penalty of perjury that the foregoing is true and correct and to the best of my knowledge, information and belief. Dated: August 23, 2021 Brooklyn, New York /s/ John Burlacu John Burlacu, Senior Director Donlin, Recano & Company, Inc.

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EXHIBIT A

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Table 1 on page 14. Back to List of Tables
COSMOLEDO, LLC None None None None None None None None None None None
Tabulation Report as of 8/20/2021 None None None None None None None None None None None
Class Ballot ID Acct No. Creditor Name Authorized Vote Amt Indicated Amt Vote ACC RJC Tabulated
Accept Amt
Tabulated
Reject Amt
Vote
Date
3 000035 29 DIVERSE RECYCLING SOLUTIONS LLC 10,027.37 ACCEPT 1 0 10,027.37 0.00 8/13/21
3 000088 891 GDIAVBERRISEEL MREOCNYTCALNIONG SOLUTIONS LLC 408.28 ACCEPT 1 0 408.28 0.00 8/13/21
3 000019 2395 PGOO B6O85X T 1H6I4R9D AVENUE OWNER LLC 466,229.37 ACCEPT 1 0 466,229.37 0.00 8/16/21
3 000021 2398 BSEANNTTAALNLDGERRE BEANNOKA NKA 6,688,756.10 ACCEPT 1 0 6,688,756.10 0.00 8/16/21
Totals forL CElGasAsL 3 None
Aggregate Class 3 Claim Amount Voted to Accept: 7,165,421.12 100.00%
Aggregate Class 3 Claim Amount Voted to Reject: 0.00 0.00%
Aggregate Class 3 Claim Amount Voted: 7,165,421.12
Aggregate Class 3 Claim Quantity Voted to Accept: 4 100.00%
Aggregate Class 3 Claim Quantity Voted to Reject: 0 0.00%
Aggregate Class 3 Claim Quantity Voted: 4

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Table 1 on page 15. Back to List of Tables
COSMOLEDO, LLC None None None None None None None None None None None
Tabulation Report as of 8/20/2021 None None None None None None None None None None None
Class Ballot ID Acct No. Creditor Name Authorized Vote Amt Indicated Amt Vote ACC RJC Tabulated
Accept Amt
Tabulated
Reject Amt
Vote
Date
4 000173 2014 ALLIANCE REFRIGERATION 101,899.66 ACCEPT 1 0 101,899.66 0.00 8/17/21
4 000072 859 RANOGSTEILSIKLAAV A VDEARMKSH DOEGSLIGYAND LLC 2,500.00 ACCEPT 1 0 2,500.00 0.00 8/13/21
4 000340 2424 3B5R3A6D CFAOMRBDR CIDAGPEIT AALV EH O7ALDINGS/ SHORE 4,791.59 ACCEPT 1 0 4,791.59 0.00 8/5/21
4 000342 2426 PBRRIANDTFINOGRD CAPITAL HOLDINGS/ SIGN EXPO 66,735.74 ACCEPT 1 0 66,735.74 0.00 8/5/21
4 000078 868 EBNRTOEORKPLRYIN BORN CHOCOLATE 12,180.00 ACCEPT 1 0 12,180.00 0.00 8/16/21
4 000187 2144 8S1H5E MLLAYRATNINN SBTROWN 600,000.00 ACCEPT 1 0 600,000.00 0.00 8/13/21
4 000205 2181 2O2C9T 6A7VTIHA BSRT YAAPNTT 2 464.03 ABSTAIN 0 0 0.00 0.00 7/30/21
4 000359 873 1C4A5L PEAAKS TIN 1C6TH ST 2,619.97 ACCEPT 1 0 2,619.97 0.00 8/2/21
4 000213 2193 8C5ITHY F OLFA GSSAHINIPT SDR 7,280.00 ACCEPT 1 0 7,280.00 0.00 8/12/21
4 000338 2422 CCIOTNYT ORFA SRAIAINNT FSU CNODFSF LELEC R/ COLAOSUTDER- XSPRESS 1,680.00 ACCEPT 1 0 1,680.00 0.00 8/9/21
4 000341 2425 TCROANNTSRFAERRIAONR F: CULNODUSD L-LXCP/R FEIDSUSCIAL JADE INC 20,000.00 ACCEPT 1 0 20,000.00 0.00 8/9/21
4 000339 2423 TCROANNTSRFAERRIAONR F: FUINDDUSC ILALLC J/ AJDAED EIN ACSSOCIATES 20,000.00 ACCEPT 1 0 20,000.00 0.00 8/9/21
4 000336 2420 NCEOWNT YROARRIAN FUNDS LLC/ JERSEY BOTTLE 11,917.00 ACCEPT 1 0 11,917.00 0.00 8/9/21
4 000337 2421 SCUOPNPTLRYA IRNIAN FUNDS LLC/ SWEDE FARMS INC 53,241.80 ACCEPT 1 0 53,241.80 0.00 8/9/21
4 000181 2137 TCROAPNESRFAECROO CRO: SFWFEEED LEL FCARMS INC 26,837.25 ACCEPT 1 0 26,837.25 0.00 8/3/21
4 000354 2136 CEUOLPEERR AHCEORM SETSO NAEG ESNTRT EFEOTR PIDY NV 24,431.56 ACCEPT 1 0 24,431.56 0.00 8/4/21
4 000094 901 SFBUMSA BNA KHIONRGN MACHINES INC 2,668.49 ACCEPT 1 0 2,668.49 0.00 8/13/21
4 000100 907 FFRRAENNKC HS IFGONOODR EILXEPORTS INC 33,497.97 ACCEPT 1 0 33,497.97 0.00 8/2/21
4 000020 2395 MGOIC H68E5L TSHTIRREDT AZVENUE OWNER LLC 547,312.73 ACCEPT 1 0 547,312.73 0.00 8/16/21
4 000331 2404 BHEUNBT TARLULCGKR EREENNOTAAKL CORP 767,420.34 ACCEPT 1 0 767,420.34 0.00 8/17/21
4 000104 914 MIMEPYEERRIA SLU BOAZGZ IA ENNDG PLAISPHE RAN CDO K LLLECIN PC 347,382.38 ACCEPT 1 0 347,382.38 0.00 8/18/21
4 000188 2145 CIMHPREIRSTIAINL AF IMREER PCREODTECTION SYSTEMS INC 9,240.09 ACCEPT 1 0 9,240.09 0.00 8/3/21
4 000249 2233 CHHABAIRGLAEILS IMSKIDHOITRAORIAN 205.75 ACCEPT 1 0 205.75 0.00 8/9/21
4 000356 2234 6J 1R HAAPM AINLTDO ANS PSLO C#5IA2TES INC 2,000.00 ACCEPT 1 0 2,000.00 0.00 8/9/21
4 000108 924 3K2A7B9A4C DKI OSNVICS IDNRC 2,511.75 ACCEPT 1 0 2,511.75 0.00 8/16/21
4 000323 2373 3M1A8I SWOENS ET R3I9CT KHA SYTSER MEDATLNTIQUE LTD 623,977.84 ACCEPT 1 0 623,977.84 0.00 8/17/21
4 000053 294 ASNUDSAENR SROONB EKRILTLS PC 1.00 REJECT 0 1 0.00 1.00 8/10/21
4 000126 958 1S0A0S BAA DLETMICA SRTLE INC 5,032.25 ACCEPT 1 0 5,032.25 0.00 8/3/21
4 000134 967 8S UCGOARRP OARNADT PEL DURMM CREATIONS LLC 14,040.00 ACCEPT 1 0 14,040.00 0.00 8/13/21
4 000138 974 1T4H6IN RKEPDANCEKCAKG AEVE 55,747.41 ACCEPT 1 0 55,747.41 0.00 8/15/21
4 000393 978 2U0L IWNEE SINTC 22ND ST 6,193.14 ACCEPT 1 0 6,193.14 0.00 8/9/21
4 000394 984 NVIALNLAC YL IHGAHLTCINOGM SUPPLY 892.72 ACCEPT 1 0 892.72 0.00 8/9/21
Totals for2 C9l2a9s sC H4 O UTEAU AVE None
Aggregate Class 4 Claim Amount Voted to Accept: 3,374,237.43 100.00%
Aggregate Class 4 Claim Amount Voted to Reject: 1.00 0.00%
Aggregate Class 4 Claim Amount Voted: 3,374,238.43
Aggregate Class 4 Claim Quantity Voted to Accept: 30 96.77%
Aggregate Class 4 Claim Quantity Voted to Reject: 1 3.23%
Aggregate Class 4 Claim Quantity Voted: 31

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