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Full title: Notice of appearance and request for notice filed by Rochelle Municipal Utilities and Jason M Reed. (Reed, Jason) (Entered: 02/01/2021)

Document posted on Jan 31, 2021 in the bankruptcy, 2 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

NOTICE OF APPEARANCE AND REQUEST FOR SERVICE PLEASE TAKE NOTICE THAT, Rochelle Municipal Utilities (“Rochelle”) as creditor in the above-captioned case, hereby appears by its counsel Maslon LLP; such counsel hereby enters its appearance pursuant to Title 11 of the United States Code (the “Bankruptcy Code”) and Rule 9010(b) of the Federal Rules of Bankruptcy Procedure (the “Bankruptcy Rules”); and such counsel hereby requests, pursuant to Bankruptcy Rules 2002, 3017 and 9007 and Sections 342 and 1109(b) of the Bankruptcy Code, that copies of all notices and pleadings given or filed in the above-captioned cases be given and served upon the following persons at the following addresses: NOTICE that pursuant to Section 1109(b) of the Bankruptcy Code, the foregoing demand includes not only the notices and papers referred to in the Bankruptcy Rules and sections of the Bankruptcy Code specified above, but also includes, without limitation, any notice, application, complaint, demand, motion, petition, pleading or request, whether formal or informal, written or oral, and whether transmitted or conveyed by mail, delivery, telephone, telegraph, telex or otherwise filed or made with regard to the above-captioned cases and proceedings therein.This Notice of Appearance and Demand for Notices and Papers shall not be deemed or construed to be a waiver of (a) Rochelle’s rights (i) to have final orders in non-core matters entered only after de novo review by a district judge, (ii) to trial by jury in any proceeding so triable in these cases or in any case, controversy, or proceeding related to these cases, and (iii) to have the District Court withdraw the reference in any matter subject to mandatory or discretionary withdrawal; or (b) any other rights, claims, actions, setoffs, or recoupments to which Rochelle is or may be entitled, in law or in equity, all of which rights, claims, actions, defenses, setoffs, and recoupments Rochelle expressly reserves.South Seventh Street Minneapolis, MN 55402-4140

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UNITED STATES BANKRUPTCY COURT DISTRICT OF MINNESOTA In re Case No. 21-30037-WJF TEA OLIVE I, LLC d/b/a STOCK-FIELD, Chapter 11 Debtor. NOTICE OF APPEARANCE AND REQUEST FOR SERVICE PLEASE TAKE NOTICE THAT, Rochelle Municipal Utilities (“Rochelle”) as creditor in the above-captioned case, hereby appears by its counsel Maslon LLP; such counsel hereby enters its appearance pursuant to Title 11 of the United States Code (the “Bankruptcy Code”) and Rule 9010(b) of the Federal Rules of Bankruptcy Procedure (the “Bankruptcy Rules”); and such counsel hereby requests, pursuant to Bankruptcy Rules 2002, 3017 and 9007 and Sections 342 and 1109(b) of the Bankruptcy Code, that copies of all notices and pleadings given or filed in the above-captioned cases be given and served upon the following persons at the following addresses: Jason M. Reed Maslon LLP 3300 Wells Fargo Center 90 S. 7th Street Minneapolis, MN 55402 Email: Jason.Reed@maslon.com PLEASE TAKE FURTHER NOTICE that pursuant to Section 1109(b) of the Bankruptcy Code, the foregoing demand includes not only the notices and papers referred to in the Bankruptcy Rules and sections of the Bankruptcy Code specified above, but also includes, without limitation, any notice, application, complaint, demand, motion, petition, pleading or request, whether formal or informal, written or oral, and whether transmitted or conveyed by mail, delivery, telephone, telegraph, telex or otherwise filed or made with regard to the above-captioned cases and proceedings therein.

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This Notice of Appearance and Demand for Notices and Papers shall not be deemed or construed to be a waiver of (a) Rochelle’s rights (i) to have final orders in non-core matters entered only after de novo review by a district judge, (ii) to trial by jury in any proceeding so triable in these cases or in any case, controversy, or proceeding related to these cases, and (iii) to have the District Court withdraw the reference in any matter subject to mandatory or discretionary withdrawal; or (b) any other rights, claims, actions, setoffs, or recoupments to which Rochelle is or may be entitled, in law or in equity, all of which rights, claims, actions, defenses, setoffs, and recoupments Rochelle expressly reserves. Respectfully submitted, Dated: February 1, 2021 By: /s/ Jason M. Reed Jason M. Reed (#0395877) 3300 Wells Fargo Center 90 South Seventh Street Minneapolis, MN 55402-4140 Telephone: (612) 672-8301 E-mail: Jason.reed@maslon.com ATTORNEYS FOR ROCHELLE MUNICIPAL UTILITIES.