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Full title: Notice of Filing of Second Supplement to the Second Amended Joint Plan of Reorganization for Studio Movie Grill Holdings, LLC and Jointly Administered Debtors filed by Debtor Studio Movie Grill Holdings, LLC (RE: related document(s)702 Notice of Filing of Supplement to the Second Amended Joint Plan of Reorganization for Studio Movie Grill Holdings, LLC and Jointly Administered Debtors filed by Debtor Studio Movie Grill Holdings, LLC (RE: related document(s)700 Amended chapter 11 plan filed by Debtor Studio Movie Grill Holdings, LLC (RE: related document(s)619 Chapter 11 plan).). (Attachments: # 1 Exhibit A # 2 Exhibit B # 3 Exhibit C # 4 Exhibit D # 5 Exhibit E # 6 Exhibit F # 7 Exhibit G # 8 Exhibit H # 9 Exhibit I # 10 Exhibit J # 11 Exhibit K # 12 Exhibit L # 13 Exhibit M # 14 Exhibit N)). (Attachments: # 1 Exhibit A # 2 Exhibit F # 3 List of 20 Largest Creditors G # 4 Exhibit L-2 # 5 Exhibit M-3 # 6 Exhibit N) (Wright, Frank)

Document posted on Mar 7, 2021 in the bankruptcy, 4 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

§ Jointly Administered NOTICE OF FILING OF SECOND SUPPLEMENT TO THE SECOND AMENDED JOINT PLAN OF REORGANIZATION FOR STUDIO MOVIE GRILL HOLDINGS, LLC AND JOINTLY ADMINISTERED DEBTORS PLEASE TAKE NOTICE that on February 11, 2021, the above-captioned debtors and debtors-in-possession (collectively, the “Debtors”) filed the solicitation version of the Amended Joint Plan of Reorganization for Studio Movie Grill Holdings, LLC and Jointly Administered Debtors [Docket No. Joint Plan of Reorganization for Studio 1The Debtors in these Chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification number, include: Studio Movie Grill Holdings, LLC (6546); OHAM Holdings, LLC (0966); Movie Grill Concepts Trademark Holdings, LLC (3096); Movie Grill Concepts I, Ltd. (6645); Movie Grill Concepts III, Ltd. (2793); Movie Grill Concepts IV, Ltd. (1454); Movie Grill Concepts IX, LLC (3736); Movie Grill Concepts VI, Ltd. (6895); Movie Grill Concepts VII, LLC (2291); Movie Grill Concepts X, LLC (6906); Movie Grill Concepts XI, LLC (2837); Movie Grill Concepts XII, LLC (6040); Movie Grill Concepts XIII, LLC (5299); Movie Grill Concepts XIV, LLC (4709); Movie Grill Concepts XIX, LLC (9646); Movie Grill Concepts XL, LLC (4454); Movie Grill Concepts XLI, LLC (4624); Movie Grill Concepts XLII, LLC (2309); Movie Grill Concepts XLIII, LLC (9721); Movie Grill Concepts XLIV, LLC (8783); Movie Grill Concepts XLV, LLC (2570); Movie Grill Concepts XV, LLC (4939); Movie Grill Concepts XVI, LLC (1033); Movie Grill Concepts XVII, LLC (1733); Movie Grill Concepts XVIII, LLC (8322); Movie Grill Concepts XX, LLC (7300); Movie Grill Concepts XXI, LLC (1508); Movie Grill Concepts XXII, LLC (6748); Movie Grill Concepts XXIV, LLC (5114); Movie Grill Concepts XXIX, LLC (5857); Movie Grill Concepts XXV, LLC (4985); Movie Grill Concepts XXVI, LLC (5233); Movie Grill Concepts XXVII, LLC (4427); Movie Grill Concepts XXVIII, LLC (1554); Movie Grill Concepts XXX, LLC (1431); Movie Grill Concepts XXXI, LLC (3223); Movie Grill Concepts XXXII, LLC (0196); Movie Grill Concepts XXXIII, LLC (1505); Movie Grill Concepts XXXIV, LLC (9770); Movie Grill Concepts XXXIX, LLC (3605); Movie Grill Concepts XXXV, LLC (0571); Movie Grill Concepts XXXVI, LLC (6927); Movie Grill Concepts XXXVII, LLC (6401); Movie Grill Concepts XXXVIII, LLC (9657); Movie Grill Concepts XXIII, LLC (7893); Studio Club, LLC (3023); Studio Club IV, LLC (9440); Movie Grill Concepts XI, LLC (2837); Movie Grill Concepts XLI, LLC (4624); Movie Grill Concepts XLVI, LLC (2344); Movie Grill Concepts XLVII, LLC (5866); Movie Grill Concepts XLVIII, LLC (8601); Movie Grill Concepts XLIX, LLC (0537); Movie Grill Concepts L, LLC (5940); Movie Grill Concepts LI, LLC (7754); Movie Grill Concepts LII, LLC (8624); Movie Grill Concepts LIII, LLC (3066); Movie Grill Concepts LIV, LLC (2018); Movie Grill Concepts LV, LLC (4699); Movie Grill Partners 3, LLC (4200); Movie Grill Partners 4, LLC (1363); Movie Grill Par

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE NORTHERN DISTRICT OF TEXAS DALLAS DIVISION IN RE: § CASE NO. 20-32633-SGJ § STUDIO MOVIE GRILL HOLDINGS, LLC, § Chapter 11 et al.,1 § § DEBTORS. § Jointly Administered NOTICE OF FILING OF SECOND SUPPLEMENT TO THE SECOND AMENDED JOINT PLAN OF REORGANIZATION FOR STUDIO MOVIE GRILL HOLDINGS, LLC AND JOINTLY ADMINISTERED DEBTORS PLEASE TAKE NOTICE that on February 11, 2021, the above-captioned debtors and debtors-in-possession (collectively, the “Debtors”) filed the solicitation version of the Amended Joint Plan of Reorganization for Studio Movie Grill Holdings, LLC and Jointly Administered Debtors [Docket No. 619], and on March 5, 2021, the Debtors filed the Second Amended Joint Plan of Reorganization for Studio 1The Debtors in these Chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification number, include: Studio Movie Grill Holdings, LLC (6546); OHAM Holdings, LLC (0966); Movie Grill Concepts Trademark Holdings, LLC (3096); Movie Grill Concepts I, Ltd. (6645); Movie Grill Concepts III, Ltd. (2793); Movie Grill Concepts IV, Ltd. (1454); Movie Grill Concepts IX, LLC (3736); Movie Grill Concepts VI, Ltd. (6895); Movie Grill Concepts VII, LLC (2291); Movie Grill Concepts X, LLC (6906); Movie Grill Concepts XI, LLC (2837); Movie Grill Concepts XII, LLC (6040); Movie Grill Concepts XIII, LLC (5299); Movie Grill Concepts XIV, LLC (4709); Movie Grill Concepts XIX, LLC (9646); Movie Grill Concepts XL, LLC (4454); Movie Grill Concepts XLI, LLC (4624); Movie Grill Concepts XLII, LLC (2309); Movie Grill Concepts XLIII, LLC (9721); Movie Grill Concepts XLIV, LLC (8783); Movie Grill Concepts XLV, LLC (2570); Movie Grill Concepts XV, LLC (4939); Movie Grill Concepts XVI, LLC (1033); Movie Grill Concepts XVII, LLC (1733); Movie Grill Concepts XVIII, LLC (8322); Movie Grill Concepts XX, LLC (7300); Movie Grill Concepts XXI, LLC (1508); Movie Grill Concepts XXII, LLC (6748); Movie Grill Concepts XXIV, LLC (5114); Movie Grill Concepts XXIX, LLC (5857); Movie Grill Concepts XXV, LLC (4985); Movie Grill Concepts XXVI, LLC (5233); Movie Grill Concepts XXVII, LLC (4427); Movie Grill Concepts XXVIII, LLC (1554); Movie Grill Concepts XXX, LLC (1431); Movie Grill Concepts XXXI, LLC (3223); Movie Grill Concepts XXXII, LLC (0196); Movie Grill Concepts XXXIII, LLC (1505); Movie Grill Concepts XXXIV, LLC (9770); Movie Grill Concepts XXXIX, LLC (3605); Movie Grill Concepts XXXV, LLC (0571); Movie Grill Concepts XXXVI, LLC (6927); Movie Grill Concepts XXXVII, LLC (6401); Movie Grill Concepts XXXVIII, LLC (9657); Movie Grill Concepts XXIII, LLC (7893); Studio Club, LLC (3023); Studio Club IV, LLC (9440); Movie Grill Concepts XI, LLC (2837); Movie Grill Concepts XLI, LLC (4624); Movie Grill Concepts XLVI, LLC (2344); Movie Grill Concepts XLVII, LLC (5866); Movie Grill Concepts XLVIII, LLC (8601); Movie Grill Concepts XLIX, LLC (0537); Movie Grill Concepts L, LLC (5940); Movie Grill Concepts LI, LLC (7754); Movie Grill Concepts LII, LLC (8624); Movie Grill Concepts LIII, LLC (3066); Movie Grill Concepts LIV, LLC (2018); Movie Grill Concepts LV, LLC (4699); Movie Grill Partners 3, LLC (4200); Movie Grill Partners 4, LLC (1363); Movie Grill Partners 6, LLC (3334); and MGC Management I, LLC (3224).

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Movie Grill Holdings, LLC and Jointly Administered Debtors [Docket No. 700] (as may be amended, modified, and/or supplemented, the “Plan”).2 PLEASE TAKE FURTHER NOTICE that on March 5, 2021, the Debtors filed the Notice of Filing of Supplement to the Amended Joint Plan of Reorganization for Studio Movie Grill Holdings, LLC and Jointly Administered Debtors [Docket No. 702] (the “First Plan Supplement”). PLEASE TAKE FURTHER NOTICE that the Debtors hereby file this second plan supplement (collectively with the First Plan Supplement, the “Plan Supplement”) to the Plan. PLEASE TAKE FURTHER NOTICE that this Plan Supplement includes the following documents, as may be modified, amended, or supplemented from time to time in accordance with the Plan:3  Exhibit E – Schedule of Abandoned Debtors  Exhibit F – Schedule of Converted Cases  Exhibit G – Schedule of Non-Applicable Debtors  Exhibit L-2 – Real Property Leases to be Assumed  Exhibit M-3 – Real Property Leases to be Rejected  Exhibit N – List of Retained Studio Contracts PLEASE TAKE FURTHER NOTICE that the exhibits identified above amend and restate the corresponding exhibits attached to the First Plan Supplement, and Exhibits E, F, G, L-2, M-3, and N attached to the First Plan Supplement are no longer effective. PLEASE TAKE FURTHER NOTICE that the Plan Supplement and any exhibits, appendices, supplements, or annexes to the Plan Supplement documents are incorporated into the Plan by reference and are a part of the Plan as if set forth therein. If the Plan is confirmed, the Plan Supplement will be approved as well. PLEASE TAKE FURTHER NOTICE that the documents contained in this Plan Supplement are not final and are subject to continuing negotiations among the Debtors, the Agent, the DIP Lenders, and/or the Prepetition Lenders (collectively, the “Consent and Consultation Parties”), as applicable. The Debtors reserve the right to alter, amend, modify, or supplement any document in the Plan Supplement in accordance with the Plan and subject to the consent and consultation rights in the Plan and the DIP Order. The Consent and Consultation Parties reserve all rights to further comment on any such amendments, revisions or supplements of the Plan Supplement, and any of the documents and designations contained therein in order to reach agreement with the Debtors on the final form of the Plan Supplement documents, at any time before the Effective Date, or any such date as may be provided for by the Plan or by order of the Bankruptcy Court. If any document in the Plan Supplement is altered, amended, modified, or supplemented in any material respect, the Debtors will file a revised version of such document with the Court. 2 Capitalized terms used but not otherwise defined herein shall have the meanings ascribed to such terms in the Plan. 3 To the extent a document is identified in the Plan as a document to be included in the Plan Supplement and has not yet been filed with the Court, the Debtors will file such document with the Court as soon as practicable.

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PLEASE TAKE FURTHER NOTICE that the Debtors will seek confirmation of the Plan at the hearing scheduled for March 16, 2021, at 9:30 a.m. (Prevailing Central Time), before the Honorable Stacey G.C. Jernigan, United States Bankruptcy Judge, in Courtroom No. 1 of the United States Bankruptcy Court, Earle Cabell Federal Building, 1100 Commerce St., Dallas, TX 75242 (or by video, telephonic, and/or other electronic means). PLEASE TAKE FURTHER NOTICE any objections to the confirmation of the Plan must: (a) be in writing; (b) conform to the applicable Federal Rules of Bankruptcy Procedure and the Bankruptcy Local Rules for the Northern District of Texas; (c) set forth the name of the objecting party, the nature and amount of Claims or Interests held or asserted by the objecting party against the Debtors, the basis for the Objection, and the specific ground thereof; and (d) be filed with the Bankruptcy Court, together with proof of service, and served on the following parties so as to be actually received no later than March 10, 2021, at 4:00 p.m. (Prevailing Central Time) by (i) the Debtors, via its CRO, 13355 Noel Road, Suite 2005, Dallas, TX 75240, Attn: William Snyder (william.snyder@cr3partners.com); (ii) counsel to the Debtors, Law Offices of Frank J. Wright, PLLC, 2323 Ross Avenue, Suite 730, Dallas, Texas 75201, Attn: Frank J. Wright and Jeffery M. Veteto (frank@fjwright.law; jeff@fjwright.law); (iii) counsel to the Agent, Vinson & Elkins LLP, Trammel Crow Center, 2001 Ross Avenue, Suite 3900, Dallas, Texas 75201, Attn: William L. Wallander, Bradley R. Foxman, and Matthew J. Pyeatt (bwallander@velaw.com; bfoxman@velaw.com; mpyeatt@velaw.com); (iv) counsel to Crestline, Jones Day, 250 Vesey Street, New York, New York 10281 (Attn: John E. Mazey, Esq., Michael C. Schneidereit, Esq., and Nicholas J. Morin, Esq., email: jemazey@jonesday.com, mschneidereit@jonesday.com, and nmorin@jonesday.com; and (v) the Office of the United States Trustee Region 6 – Dallas Office, 1100 Commerce, Room 976, Dallas, TX 75242, Attn: Lisa L. Lambert and Meredyth Kippes (Lisa.L.Lambert@usdoj.gov; Meredyth.A.Kippes@usdoj.gov). PLEASE TAKE FURTHER NOTICE that Copies of the Plan and Disclosure Statement are available (a) for a fee from the Bankruptcy Court’s website, http://ecf.txnb.uscourts.gov; or (b) at no charge from Donlin, Recano & Company, Inc. (“DRC”), the Debtors’ noticing agent, by (i) accessing the Debtors’ restructuring website at https://www.donlinrecano.com/Clients/smgh/Index or (ii) by contacting DRC at the following telephone number or email address: 1-866-751-6310; or smghinfo@donlinrecano.com. DATED: March 8, 2021 Respectfully submitted, LAW OFFICES OF FRANK J. WRIGHT, PLLC By: /s/ Frank J. Wright Frank J. Wright Texas Bar No. 22028800 Jeffery M. Veteto Texas Bar No. 24098548 Jay A. Ferguson Texas Bar No. 24094648

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2323 Ross Avenue, Suite 730 Dallas, Texas 75201 Telephone: (214) 935-9100 Emails: frank@fjwright.law jeff@fjwright.law jay@fjwright.law COUNSEL TO DEBTORS AND DEBTORS-IN-POSSESSION CERTIFICATE OF SERVICE I hereby certify that on the 8th day of March 2021, a true and correct copy of the foregoing document was served on the on all parties consenting to electronic service of this case via the Court’s ECF system for the Northern District of Texas. /s/ Jeffery M. Veteto Jeffery M. Veteto