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Full title: Affidavit (re:366 Motion objecting to claim) filed by James A Bartholomew. (Ashfield, Phillip) (Entered: 04/30/2021)

Document posted on Apr 29, 2021 in the bankruptcy, 3 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

Prior to the appointment of the Trustee in this matter, on February 19, 2020, the Court granted the Debtors’ Motion for an Order Authorizing Debtors to Redact Portions of Court Filings.Specifically, the Court authorized the Debtors to “redact portions of the creditor matrix and court filings or pleadings that disclose the directory information of the individuals who were formerly students of the Debtors and who validly opted out of the disclosure of their educational records and information while enrolled with the Debtors.”The redacted certificate of service includes eight individuals who received mail service, but whose names and addresses were intentionally omitted from the certificate of service.With respect to service of the Objection on claimant Angela Dates (MSB Claim Number 72), on March 19, 2020, the Debtors’ noticing agent received a returned envelope for Ms. Dates that indicated a change of address to 1500 Thomas Avenue, Apartment 207, St. Paul, MN 55104-1869.The original certificate of service for the Objection (ECF No. 368) reflects that Ms. Dates was served at the updated address of 1500 Thomas Avenue, Apartment 207, St. Paul, MN 55104-1869 and by email.

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UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF MINNESOTA Jointly Administered Under Case No. 19-33629 (WJF) In re: Case No. 19-33629 Minnesota School of Business, Inc., Case No. 19-33632 Globe University, Inc., Chapter 11 Cases Debtors. DECLARATION OF PHILLIP J. ASHFIELD I, Phillip J. Ashfield, declare as follows: 1. I am a partner with the law firm of Stinson LLP and counsel of record for the Chapter 11 Trustee (the “Trustee”) in the above-captioned matter. I have personal knowledge of the following facts stated herein. 2. I submit this declaration in support of the Trustee’s First Omnibus Motion Objecting to Duplicate Claims (“Objection”). [ECF No. 366.] 3. Prior to the appointment of the Trustee in this matter, on February 19, 2020, the Court granted the Debtors’ Motion for an Order Authorizing Debtors to Redact Portions of Court Filings. [ECF No. 110.] 4. Specifically, the Court authorized the Debtors to “redact portions of the creditor matrix and court filings or pleadings that disclose the directory information of the individuals who were formerly students of the Debtors and who validly opted out of the disclosure of their educational records and information while enrolled with the Debtors.” [ECF No. 110.]

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5. The Court furthered ordered that the Debtors’ noticing agent file redacted certificates of service certifying that those individuals had been served, when applicable. [ECF No. 110.] 6. Accordingly, after serving the individuals listed in Exhibit 1 to the Trustee’s Objection, the Debtors’ noticing agent filed a redacted certificate of service with the Court. [See ECF No. 368.] 7. The redacted certificate of service includes eight individuals who received mail service, but whose names and addresses were intentionally omitted from the certificate of service. These eight individuals are identified below:
Table 1 on page 2. Back to List of Tables
Claimant Last
Name
Claimant
First Name
MSB
Claim
Number
Globe
Claim
Number
Date Filed Amount
Alameda Magdalena 36 1/6/2020 -
Enger Michele 81 2/17/2020 $141,100.00
Johnson Daisy 18 12/16/2019 -
Olness Paige 96 3/15/2020 $4,000.00
Pettis-Berry Karesa 93 3/9/2020 $19,102.68
Prokott Sandra 39 1/9/2020 $71,871.26
Richards Karli 10 12/5/2019 $40,426.50
Schroeder Steven 1 12/7/2019 $35,321.25
8. I have reviewed the Debtors’ noticing agent’s unredacted certificate of service, and these eight claimants were served with the Trustee’s Objection by mail at the notice address listed in the claimants’ respective proofs of claim. 9. With respect to service of the Objection on claimant Angela Dates (MSB Claim Number 72), on March 19, 2020, the Debtors’ noticing agent received a returned envelope for Ms. Dates that indicated a change of address to 1500 Thomas Avenue, Apartment 207, St. Paul, MN 55104-1869. The Debtors’ noticing agent updated its records accordingly. The original certificate

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of service for the Objection (ECF No. 368) reflects that Ms. Dates was served at the updated address of 1500 Thomas Avenue, Apartment 207, St. Paul, MN 55104-1869 and by email. 10. To remedy any potential service issues, the Trustee intends to continue the hearing on the Objection solely as to Ms. Dates. I declare under penalty of perjury that the foregoing is true and correct. Dated: April 30, 2021 s/ Phillips J. Ashfield Phillip J. Ashfield (#0388990) STINSON LLP 50 South Sixth Street, Suite 2600 Minneapolis, Minnesota 55402 Telephone: (612) 335-1500 Phillip.Ashfield@stinson.com ATTORNEYS FOR THE CHAPTER 11 TRUSTEE

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