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Full title: Order Approving Stipulation Between Debtors And Tenant-In-Common Regarding (1) Consent To Sale Of Real Property; (2) Agreement To Deliver Documents Necessary To Effectuate Sale; And (3) Entry Of Judgment Pursuant To Section 363(h) - TIC Owner: 1320 Magnolia LLC (RE: related document(s)847 Stipulation for Miscellaneous Relief filed by Debtor Professional Financial Investors, Inc.). (bg) (Entered: 08/24/2021)

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

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NNOORRTTHHEERRNN DDIISSTTRRIICCTT OOFF CCAALLIIFFOORRNNIIAA1 SHEPPARD, MULLIN, RICHTER Signed and Filed: August 24, 2021& HAMPTON LLP 2 A Limited Liability Partnership Including Professional Corporations 3 ORI KATZ, Cal.Four Embarcadero Center, 17th Floor U.S. Bankruptcy Judge 6 San Francisco, California 94111-4109 jekim@sheppardmullin.com 9 mklinger@sheppardmullin.com Counsel for the Debtors 10 TRODELLA & LAPPING LLP 11 RICHARD A. LAPPING, Cal.The Court having read and considered the Stipulation Between Debtors and Tenant-in-2 Common Regarding (1) Consent to Sale of Real Property; (2) Agreement to Deliver Documents 3 Necessary to Effectuate Sale; and (3) Entry of Judgment Pursuant to Section 363(h) (the 4 “Stipulation”) entered into by and between Professional Financial Investors, Inc. (“PFI”) and its 5 affiliated debtors and debtors in possession (together with PFI, collectively, the “Debtors”), on th6 one hand, and 1320 Magnolia LLC, a California limited liability company (“TIC Owner”), on the7 other hand, and filed with the Court on August 24, 2021, as Docket No. 847, and good cause 8 appearing to approve the Stipulation, 9 IT IS HEREBY ORDERED

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Document Contents

NNOORRTTHHEERRNN DDIISSTTRRIICCTT OOFF CCAALLIIFFOORRNNIIAA1 SHEPPARD, MULLIN, RICHTER Signed and Filed: August 24, 2021& HAMPTON LLP 2 A Limited Liability Partnership Including Professional Corporations 3 ORI KATZ, Cal. Bar No. 209561 J. BARRETT MARUM, 4 Cal. Bar No. 228628 JEANNIE KIM, Cal. Bar No. 270713 __________________________________________ HANNAH L. BLUMENSTIEL 5 MATT KLINGER, Cal. Bar No. 307362 Four Embarcadero Center, 17th Floor U.S. Bankruptcy Judge 6 San Francisco, California 94111-4109 Telephone: 415.434.9100 7 Facsimile: 415.434.3947 Email: okatz@sheppardmullin.com 8 bmarum@sheppardmullin.com jekim@sheppardmullin.com 9 mklinger@sheppardmullin.com Counsel for the Debtors 10 TRODELLA & LAPPING LLP 11 RICHARD A. LAPPING, Cal. Bar No. 107496 540 Pacific Avenue 12 San Francisco, CA 94133 Telephone: 415.399.1015 13 Facsimile: 415.651.9004 Email: Rich@TrodellaLapping.com 14 Conflicts Counsel for Debtors 15 UNITED STATES BANKRUPTCY COURT 16 NORTHERN DISTRICT OF CALIFORNIA, SAN FRANCISCO DIVISION 17 In re Case No. 20-30604 18 PROFESSIONAL FINANCIAL (Jointly Administered) 19 INVESTORS, INC., a California corporation, et al., Chapter 11 20 Debtors. ORDER APPROVING STIPULATION 21 BETWEEN DEBTORS AND TENANT-IN- COMMON REGARDING (1) CONSENT 22 TO SALE OF REAL PROPERTY; (2) AGREEMENT TO DELIVER 23 DOCUMENTS NECESSARY TO EFFECTUATE SALE; AND (3) ENTRY 24 OF JUDGMENT PURSUANT TO SECTION 363(h) 25 TIC OWNER: 1320 Magnolia LLC 26 No Hearing Requested 27 Judge: Hon. Hannah L. Blumenstiel 28

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1 The Court having read and considered the Stipulation Between Debtors and Tenant-in-2 Common Regarding (1) Consent to Sale of Real Property; (2) Agreement to Deliver Documents 3 Necessary to Effectuate Sale; and (3) Entry of Judgment Pursuant to Section 363(h) (the 4 “Stipulation”) entered into by and between Professional Financial Investors, Inc. (“PFI”) and its 5 affiliated debtors and debtors in possession (together with PFI, collectively, the “Debtors”), on th6 one hand, and 1320 Magnolia LLC, a California limited liability company (“TIC Owner”), on the7 other hand, and filed with the Court on August 24, 2021, as Docket No. 847, and good cause 8 appearing to approve the Stipulation, 9 IT IS HEREBY ORDERED that: 10 1. The Stipulation is APPROVED in its entirety; 11 2. The Parties are authorized to execute and deliver to the Debtors and the Successful12 Bidder the TIC Documents. 13 3. PFI and LLC 48 shall dismiss the 363(j) Claim in the Adversary Proceeding 14 (bearing case number 21-03031). 15 4. Judgment pursuant to section 363(h) shall be entered against the TIC Owner in the16 Adversary Proceeding. 17 *** END OF ORDER *** 18 19 20 21 22 23 24 25 26 27 28

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