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Full title: Stipulation By Museum of American Jewish History, d/b/a National Museum of American Jewish History and Between BNB Bank, UMB Bank, N.A., and Series 2015B Bondholders Regarding Deadlines for (A) Objections to Insider Motion and (B) Answer to Complaint Regarding Liens on Personal Property. Filed by PETER C. HUGHES on behalf of Museum of American Jewish History, d/b/a National Museum of American Jewish History (related document(s)439, 521). (HUGHES, PETER) (Entered: 04/26/2021)

Document posted on Apr 25, 2021 in the bankruptcy, 3 pages and 0 tables.

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Museum of American Jewish History, d/b/a : Case No. 20-11285 (MDC) National Museum of American Jewish History : : Debtor. : : UMB Bank, N.A., : Chapter 11 : Plaintiff : On November 12, 2020, UMB filed an Adversary Complaint, No. 20-00267 for a declaratory judgment determining the validity, priority, extent and value of liens against the Debtor’s personal property (the “Adversary Complaint”).On December 4, 2020, the Bankruptcy Court entered an Opinion (Docket No. 453) and Order (Docket No. 454) regarding the value of the Debtor’s real property. Such extension of the response/answer deadlines is without prejudice to the exercise by BNB or UMB of any rights or pursuit of remedies under the Bankruptcy Code, at any time, including without limitation objecting to cash collateral use, dismissal or stay relief.Rudolph J. DiMassa, Jr. Esquire DUANE MORRIS LLP 30 South 17th Street Philadelphia, PA 19103 215-979-1506 (phone)

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UNITED STATES BANKRUPTCY COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA In re: : Chapter 11 : Museum of American Jewish History, d/b/a : Case No. 20-11285 (MDC) National Museum of American Jewish History : : Debtor. : : UMB Bank, N.A., : Chapter 11 : Plaintiff : Case No. 20-11285 (MDC) : vs. : Adv. Proceeding No. 20-00267 : Museum of American Jewish History, d/b/a : National Museum of American Jewish History, : : Defendant. : STIPULATION REGARDING DEADLINES FOR (A) OBJECTIONS TO INSIDER MOTION AND (B) ANSWER TO COMPLAINT REGARDING LIENS ON PERSONAL PROPERTY The above-captioned Debtor (the “Debtor”), BNB Bank (“BNB”), UMB Bank, N.A. (“UMB”), and the Series 2015B Bondholders (the “B Bondholders”) hereby agree and stipulate as follows: 1. On November 24, 2020, BNB filed its Motion Pursuant to 11 U.S.C. §§1129(a), 1126(e), and 105(a) for Order (I) Determining that the Series B Bondholders are Insiders of the Debtor, (II) Designating Votes Cast by the Series B Bondholders, or Alternatively, (III) Disallowing the Votes of the Series B Bondholders Based on the Terms of the Indenture (Docket No. 439) (the “Insider Motion”). 2. On November 12, 2020, UMB filed an Adversary Complaint, No. 20-00267 for a declaratory judgment determining the validity, priority, extent and value of liens against the Debtor’s personal property (the “Adversary Complaint”).

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3. On December 4, 2020, the Bankruptcy Court entered an Opinion (Docket No. 453) and Order (Docket No. 454) regarding the value of the Debtor’s real property. 4. The parties hereto previously agreed and stipulated that the deadline for any party to object to the Insider Motion was extended to January 25, 2021 and that the deadline for the Debtor to file an Answer to the Adversary Complaint was extended to January 25, 2021. That stipulation was approved by the Bankruptcy Court at docket no. 479. 5. The parties hereto also previously agreed and stipulated to further extend the deadline for any party to object to the Insider Motion as well as the deadline for the Debtor to file an Answer to the Adversary Complaint to the earlier of (x) 30 days following the filing of a new or amended plan and (y) April 26, 2021. That stipulation was approved by the Bankruptcy Court at docket no. 521. 6. The parties hereby agree and stipulate that the deadline for any party to object to the Insider Motion, as well as the deadline for the Debtor to file an Answer to the Adversary Complaint, is futher extended to the earlier of (x) 30 days following the filing of a new or amended plan and (y) June 15, 2021. Such extension of the response/answer deadlines is without prejudice to the exercise by BNB or UMB of any rights or pursuit of remedies under the Bankruptcy Code, at any time, including without limitation objecting to cash collateral use, dismissal or stay relief. 7. All parties reserve their rights as to the merits of the Insider Motion and the Adversary Proceeding.

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Dated: April 26, 2021 /s/ Peter C. Hughes DILWORTH PAXSON LLP Lawrence G. McMichael Peter C. Hughes Yonit A. Caplow 1500 Market St., Suite 3500E Philadelphia, PA 19102 Telephone: (215) 575-7000 Facsimile: (215) 575-7200 Counsel for the Debtor and Debtor-in-Possession /s/ Peter E. Meltzer Peter E. Meltzer, Esquire WEBER GALLAGHER SIMPSON STAPLETON FIRES & NEWBY, LLP 2000 Market Street, 13th Floor Philadelphia, PA 267-295-3363 (phone) Attorneys for UMB Bank, N.A. /s/ Theresa A. Driscoll Theresa A. Driscoll, Esquire MORITT HOCK & HAMROFF LLP 400 Garden City Plaza Garden City, NY 516-880-7278 (phone) 516-873-2010 (fax) Attorneys for BNB Bank /s/ Rudolph J. DiMassa, Jr. Rudolph J. DiMassa, Jr. Esquire DUANE MORRIS LLP 30 South 17th Street Philadelphia, PA 19103 215-979-1506 (phone) 215-689-2138 (fax) Attorneys for the Series B Bondholders It is so Ordered: The Honorable Magdeline D. Coleman Chief United States Bankruptcy Judge

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