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Full title: Order Approving Stipulation Regarding Extension of Time To Object To Proof of Claim No. 55 of Gregory Corona (RE: related document(s)1397 Stipulation for Miscellaneous Relief filed by Interested Party Wave Computing Liquidating Trust). (acr) (Entered: 08/24/2021)

Document posted on Aug 23, 2021 in the bankruptcy, 3 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

U.S. Bankruptcy Judge 7 Attorneys for Wave Computing Liquidating Trust 8 9 UNITED STATES BANKRUPTCY COURT 10 NORTHERN DISTRICT OF CALIFORNIA 11 SAN JOSE DIVISION 12 Upon the stipulation (the “Stipulation”)2, dated August 23, 2021, between Wave Computin21 Liquidating Trust (the “Liquidating Trust”) and Gregory Corona (“Mr. Corona,” together with th22 Liquidating Trust, the “Parties” and each, individually, a “Party”), by and through their respectiv23 undersigned counsel; and the relief requested in the Stipulation being in the best interests of th24 25 26 1 The Reorganized Debtors in these chapter 11 cases are: Wave Computing, Inc., MIPS Tech, Inc., Hellosoft, Inc., Wave Computing (UK) Limited, Imagination Technologies, Inc., Caustic Graphics, Inc., and MIPS Tech, LLC. 28 1 Reorganized Debtors’ estates, their creditors and other parties in interest; and the relief requeste2 in the Stipulation being in the best interests of the beneficiaries of the Liquidating Trust; and aft3 due deliberation and sufficient cause appearing therefor, 4 Los Angeles, CA 90067-1721 ECF Parties by ECF

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NNOORRTTHHEERRNN DDIISSTTRRIICCTT OOFF CCAALLIIFFOORRNNIIAA 1 Richard L. Wynne (Bar No. 120349) richard.wynne@hoganlovells.com 2 Bennett L. Spiegel (Bar No. 129558) The following constitutes the order of the Court. bennett.spiegel@hoganlovells.com Signed: August 24, 2021 3 Edward J. McNeilly (Bar No. 314588) edward.mcneilly@hoganlovells.com 4 HOGAN LOVELLS US LLP 1999 Avenue of the Stars, Suite 1400 5 Los Angeles, California 90067 _________________________________________________ Telephone: (310) 785-4600 M. Elaine Hammond 6 Facsimile: (310) 785-4601 U.S. Bankruptcy Judge 7 Attorneys for Wave Computing Liquidating Trust 8 9 UNITED STATES BANKRUPTCY COURT 10 NORTHERN DISTRICT OF CALIFORNIA 11 SAN JOSE DIVISION 12 In re Case No. 20-50682 (MEH) 13 WAVE COMPUTING, INC., et al., Chapter Number 11 (Jointly Administered) 14 Reorganized Debtors1. ORDERAPPROVING STIPULATION 15 REGARDING EXTENSION OFTIME TO OBJECT TO PROOFOF CLAIM NO. 55 OF 16 GREGORYCORONA 17 18 [Dkt. #1397] 19 20 Upon the stipulation (the “Stipulation”)2, dated August 23, 2021, between Wave Computin21 Liquidating Trust (the “Liquidating Trust”) and Gregory Corona (“Mr. Corona,” together with th22 Liquidating Trust, the “Parties” and each, individually, a “Party”), by and through their respectiv23 undersigned counsel; and the relief requested in the Stipulation being in the best interests of th24 25 26 1 The Reorganized Debtors in these chapter 11 cases are: Wave Computing, Inc., MIPS Tech, Inc., Hellosoft, Inc., Wave Computing (UK) Limited, Imagination Technologies, Inc., Caustic Graphics, Inc., and MIPS Tech, LLC. The27 Reorganized Debtors’ mailing address is 3201 Scott Blvd, Santa Clara, CA 95054. 2 Capitalized terms used but not defined herein shall have the meanings ascribed to such terms in the Stipulation. 28

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1 Reorganized Debtors’ estates, their creditors and other parties in interest; and the relief requeste2 in the Stipulation being in the best interests of the beneficiaries of the Liquidating Trust; and aft3 due deliberation and sufficient cause appearing therefor, 4 IT IS HEREBY ORDERED THAT: 5 1. The Stipulation is approved. 6 7 2. The deadline to object to the Corona Claim shall be extended from August 25, 2028 to February 25, 2022. The Liquidating Trust may seek further extensions of the deadline to obje9 to the Corona Claim. Nothing in this Order shall extend the Claim Objection Deadline for an10 Claim other than the Corona Claim. 11 3. The Stipulation is without prejudice to the rights of the Reorganized Debtors t12 pursue their own objection to the Corona Claim. 13 4. The Bankruptcy Court shall retain jurisdiction to hear and determine all matter14 15 arising from or related to the implementation, interpretation, or enforcement of the Stipulation o16 this Order. 17 ***END OF ORDER*** 18 19 20 21 22 23 24 25 26 27 28

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COURT SERVICE LIST Sara L. Chenetz Perkins Coie LLP 1888 Century Park East, Suite 1700 Los Angeles, CA 90067-1721 ECF Parties by ECF

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