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Full title: Certificate of No Objection re: First Omnibus Objection (Non-Substantive) of the Reorganized Debtor to Claims Pursuant to Sections 105 and 502(b) of the Bankruptcy Code, Bankruptcy Rule 3007 and Local Rule 3007-1 (related document(s)336) Filed by MUJI U.S.A. Limited. (Meloro, Dennis) (Entered: 06/24/2021)

Document posted on Jun 23, 2021 in the bankruptcy, 2 pages and 0 tables.

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CERTIFICATION OF NO OBJECTION REGARDING FIRST OMNIBUS OBJECTION (NON-SUBSTANTIVE) OF THE REORGANIZED DEBTOR TO CLAIMS PURSUANT TO SECTIONS 105 AND 502(b) OF THE BANKRUPTCY CODE, BANKRUPTCY RULE 3007 AND LOCAL RULE 3007-1 On May 28, 2021, the Reorganized Debtor filed the First Omnibus Objection (Non-Substantive) of the Reorganized Debtor to Claims Pursuant to Sections 105 and 502(b) of the Bankruptcy Code, Bankruptcy Rule 3007 and Local Rule 3007-1 [Docket No. 336] (the “First Omnibus Objection”), pursuant to which the Reorganized Debtor sought to disallow proofs of claim that were filed after the applicable bar dates set in this chapter 11 case.On June 21, 2021, the New York State Department of Taxation and Finance filed a response to the First Omnibus Objection [Docket No. 360], pursuant to which the creditor stated it “does not oppose the relief requested” in the First Omnibus Objection.As of the date hereof, the Reorganized Debtor has received no objections or informal comments to the First Omnibus Objection.The undersigned further certifies that the Court’s docket has been reviewed in this case and no objection or other responsive pleading in opposition to the First Omnibus Objection appears thereon and no informal Objection was received.

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: Chapter 11 MUJI U.S.A. LIMITED,1 Case No. 20-11805 (MFW) Reorganized Debtor. CERTIFICATION OF NO OBJECTION REGARDING FIRST OMNIBUS OBJECTION (NON-SUBSTANTIVE) OF THE REORGANIZED DEBTOR TO CLAIMS PURSUANT TO SECTIONS 105 AND 502(b) OF THE BANKRUPTCY CODE, BANKRUPTCY RULE 3007 AND LOCAL RULE 3007-1 The undersigned counsel to MUJI U.S.A. Limited, the above-captioned reorganized debtor (the “Reorganized Debtor”), hereby certifies as follows: 1. On May 28, 2021, the Reorganized Debtor filed the First Omnibus Objection (Non-Substantive) of the Reorganized Debtor to Claims Pursuant to Sections 105 and 502(b) of the Bankruptcy Code, Bankruptcy Rule 3007 and Local Rule 3007-1 [Docket No. 336] (the “First Omnibus Objection”), pursuant to which the Reorganized Debtor sought to disallow proofs of claim that were filed after the applicable bar dates set in this chapter 11 case. 2. Responses to the First Omnibus Objection were to be filed on or before June 18, 2021 at 4:00 p.m. (ET) (the “Response Deadline”). 3. On June 21, 2021, the New York State Department of Taxation and Finance filed a response to the First Omnibus Objection [Docket No. 360], pursuant to which the creditor stated it “does not oppose the relief requested” in the First Omnibus Objection. 1 The last four digits of the Reorganized Debtor’s federal tax identification number are 2229. The location of the Reorganized Debtor’s principal place of business is 250 West 39th Street, Suite 202, New York, NY 10018.

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4. As of the date hereof, the Reorganized Debtor has received no objections or informal comments to the First Omnibus Objection. The undersigned further certifies that the Court’s docket has been reviewed in this case and no objection or other responsive pleading in opposition to the First Omnibus Objection appears thereon and no informal Objection was received. It is hereby respectfully requested that the proposed order attached to the First Omnibus Objection be entered at the Court’s earliest convenience. Dated: June 24, 2021 GREENBERG TRAURIG, LLP /s/ Dennis A. Meloro Dennis A. Meloro (DE Bar No. 4435) 1007 North Orange Street, Suite 1200 Wilmington, Delaware 19801 Tel. (302) 661-7000 Email: melorod@gtlaw.com Counsel for the Reorganized Debtor

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