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Full title: Stipulation to Extend Time For Reorganized Debtors To Object To Claim Of Gregory Corona Filed by Debtor Wave Computing, Inc.. (Attachments: # 1 Certificate of Service) (Rome-Banks, Julie) (Entered: 08/19/2021)

Document posted on Aug 18, 2021 in the bankruptcy, 3 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

18 This Stipulation (the “Stipulation”) is made and entered into by and between the 19 Reorganized Debtors of Wave Computing, Inc. and its affiliates (collectively, the 20 “Reorganized Debtors”) and claimant Gregory Corona (“Corona”) by and through their 21 respective undersigned counsel.25 1 The Debtors in these chapter 11 cases, along with the last four digits of eacDebtor’s federal tax identification number, as applicable, are: Wave Computing, Inc. (426426 MIPS Tech, Inc. (8247), Hellosoft, Inc. (8640), Wave Computing (UK) Limited (NoneImagination Technologies, Inc. (6967), Caustic Graphics, Inc. (7272), and MIPS Tech, LL27 (2161).(the “Corona Claim”) in the chapter 9 11 case of Wave Computing, Inc. (“Wave”) in an unliquidated amount; 10 Whereas, the Reorganized Debtors and Corona wish to continue such good faith 15 discussions and to avoid the time and expense that would be incurred if a claim objectio16 were required to be filed to comply with the August 25, 2021 Claim Objection Deadline.The Corona Claim is referred to in the register maintained by the appointed 26 claims agent, Donlin Recano & Company, as Claim No. 91, and is also referred to in the register maintained by the Clerk of the Court as Claim No. 55 in In re Wave Computing, 27 Inc., Case No. 20-50692.

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Document Contents

1 BINDER & MALTER, LLP Michael W. Malter (SBN 96533) 2 Robert G. Harris (SBN 124678) Julie H. Rome-Banks (SBN 142364) 3 2775 Park Avenue, Santa Clara CA 95050 4 Telephone: 408.295.1700 Facsimile: 408.295.1531 5 Email: michael@bindermalter.com Email: rob@bindermalter.com 6 Email: julie@bindemalter.com 7 Attorneys for the Reorganized Debtors 8 UNITED STATES BANKRUPTCY COURT 9 NORTHERN DISTRICT OF CALIFORNIA 10 SAN JOSE DIVISION 11 In re: Case No. 20-50682 (MEH) 12 WAVE COMPUTING, INC., et al., Chapter 11 (Jointly Administered) 13 Debtors.1 14 NO HEARING REQUIRED 15 16 17 STIPULATION TO EXTEND TIME FOR REORGANIZED DEBTORS TO OBJECT TO CLAIM OF GREGORY CORONA 18 This Stipulation (the “Stipulation”) is made and entered into by and between the 19 Reorganized Debtors of Wave Computing, Inc. and its affiliates (collectively, the 20 “Reorganized Debtors”) and claimant Gregory Corona (“Corona”) by and through their 21 respective undersigned counsel. 22 /// 23 /// 24 25 1 The Debtors in these chapter 11 cases, along with the last four digits of eacDebtor’s federal tax identification number, as applicable, are: Wave Computing, Inc. (426426 MIPS Tech, Inc. (8247), Hellosoft, Inc. (8640), Wave Computing (UK) Limited (NoneImagination Technologies, Inc. (6967), Caustic Graphics, Inc. (7272), and MIPS Tech, LL27 (2161). The Debtors’ mailing address is 3201 Scott Blvd, Santa Clara, CA 95054. 28

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1 RECITALS 2 Whereas, the Effective Date of the Sixth Amended Joint Chapter 11 Plan of 3 Reorganization Of Wave Computing, Inc. And Its Debtor Affiliates [Docket No. 1129] (th4 “Plan”) occurred on February 26, 2021 [Dkt. No. 1172]; 5 Whereas, the Plan provides that the Claim Objection Deadline is 180 days after 6 the Effective Date, subject to any extensions approved by an order of the Bankruptcy 7 Court, which makes August 25, 2021 the Claim Objection Deadline; 8 Whereas, Corona filed Proof of Claim No. 912 (the “Corona Claim”) in the chapter 9 11 case of Wave Computing, Inc. (“Wave”) in an unliquidated amount; 10 Whereas, the Corona Claim is disputed by the Reorganized Debtors; 11 Whereas, the Reorganized Debtors and Corona, through their respective counsel,12 are engaged in good faith discussions with respect to a potential resolution of such 13 dispute; 14 Whereas, the Reorganized Debtors and Corona wish to continue such good faith 15 discussions and to avoid the time and expense that would be incurred if a claim objectio16 were required to be filed to comply with the August 25, 2021 Claim Objection Deadline. 17 Now, therefore, the Reorganized Debtors and Corona, through their respective 18 counsel, do hereby stipulate as follows: 19 STIPULATION 20 1. Capitalized terms used, but not defined, in this Stipulation (including the Recitals) 21 shall have the meanings ascribed to such terms in the Plan. 22 2. The deadline to object to the Corona Claim shall be extended from August 25, 23 2021 to February 25, 2022. The Reorganized Debtors may seek further 24 extensions of the deadline to object to the Corona Claim. Nothing in this 25 2 The Corona Claim is referred to in the register maintained by the appointed 26 claims agent, Donlin Recano & Company, as Claim No. 91, and is also referred to in the register maintained by the Clerk of the Court as Claim No. 55 in In re Wave Computing, 27 Inc., Case No. 20-50692. 28

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1 Stipulation shall extend the Claim Objection Deadline for any Claim other than the2 Corona Claim. 3 3. The Bankruptcy Court shall retain jurisdiction with respect to all matters arising 4 from or related to the implementation, interpretation, or enforcement of this 5 Stipulation. 6 Dated: August 19, 2021 BINDER & MALTER, LLP 7 By: /s/ Robert G. Harris 8 Robert G. Harris Attorneys for Reorganized Debtors 9 10 Dated: August 19, 2021 PERKINS COIE LLP 11 12 By: /s/ Sara L. Chenetz Sara L. Chenetz 13 Attorneys for Claimant Gregory Corona 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28

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