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Full title: Notice of appearance and request for notice filed by STORE Master Funding XV, LLC and STORE Master Funding XVI, LLC and George H. Singer. (Singer, George) (Entered: 01/12/2021)

Document posted on Jan 11, 2021 in the bankruptcy, 2 pages and 0 tables.

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UNITED STATES BANKRUPTCY COURT DISTRICT OF MINNESOTA In re: Bky. No. 21-30037 Chapter 11 Tea Olive I, LLC, Debtor NOTICE OF APPEARANCE AND REQUEST FOR NOTICE OF BALLARD SPAHR LLP Ballard Spahr LLP, hereby gives notice pursuant to Bankruptcy Rule 9010(b) that it is appearing in the above-captioned case on behalf of STORE Master Funding XV, LLC and STORE Master Funding XVI, LLC (collectively, “Landlord”). Ballard Spahr LLP further requests that it receive all notices and all other papers served or filed in this case, including pleadings, motions, applications, orders, financial and other reports. Pursuant to Bankruptcy Rule 2002(g), all notices and papers should be sent to the following address: George H. Singer, Esq. Craig S. Ganz Michael A. DiGiacomo Ballard Spahr LLP Ballard Spahr LLP Ballard Spahr LLP 2000 IDS Center 1 E. Washington Street 1 E. Washington Street 80 South 8th Street Suite 2300 Suite 2300 Minneapolis, MN 55402-2119 Phoenix, AZ 85004-2555 Phoenix, AZ 85004-2555 Telephone: 612-371-2493 Telephone: 602-798-5427 Telephone: 602-798-5595 Facsimile: 612-371-3207 Facsimile: 602-798-5595 Facsimile: 602-798-5595 Email: Email: Email: singerg@ballardspahr.com ganzc@ballardspahr.com digiacomom@ballardspahr.comBallard Spahr LLP, further requests that it be added to the appropriate lists and matrixes in this case and receive CM/ECF notification in the case. This request for notice is intended, without limitation, to constitute such request for service as is required by Bankruptcy Rules 2002(i), and 3017(a), and a request for court

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designated service as forth in Bankruptcy Rules 3019, 3020 (b)(1), 4001(a)(1), 6006(c), 9007, 9013 and 9019. PLEASE TAKE FURTHER NOTICE that the foregoing constitutes a request for service of papers only and is not intended to waive any rights of the Landlord, including, but not limited to: (1) the right to contest the jurisdiction of the Bankruptcy Court including, without limitation, the jurisdiction of the Bankruptcy Court to adjudicate non-core matters, which right is hereby expressly reserved without prejudice, (2) the right to trial by jury should such right be relevant in the course of these proceedings, or (3) any other rights, claims, actions, defenses, setoffs, or recoupments to which the Defendant may be entitled in law or in equity, all of which are hereby expressly reserved. Dated: January 12, 2021 BALLARD SPAHR LLP By: /e/ George H. Singer George H. Singer (#0262043) Michael DiGiacomo (Pro Hac Vice pending) Craig S. Ganz (Pro Hac Vice pending) 2000 IDS Center 80 South 8th Street Minneapolis, MN 55402-2119 Telephone: (612) 371-2493 Facsimile: (612) 371-3207 Email: singerg@ballardspahr.com Email: ganzc@ballardspahr.com Email: digiacomom@ballardspahr.com ATTORNEYS FOR STORE MASTER FUNDING XV, LL AND STORE MASTER FUNDING XVI, LLC