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Full title: Stipulation to Approve Document Stipulation and Proposed Order Regarding Objection to CIP and Prestige Claims and Motion for Temporary Allowoance Filed by Debtor Wave Computing, Inc. (RE: related document(s)626 Objection filed by Debtor Wave Computing, Inc., 645 Objection filed by Debtor Wave Computing, Inc., 792 Motion Miscellaneous Relief filed by Requestor Prestige Century Investments Limited, Requestor CIP United Co. Ltd.). (Attachments: # 1 Exhibit A - Proposed Order) (Miller, Jeri) (Entered: 12/07/2020)

Document posted on Dec 6, 2020 in the bankruptcy, 4 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

[No Hearing Requested] 26 27 1 The Debtors in these chapter 11 cases are Wave Computing, Inc., MIPS Tech, Inc., Hellosoft, IncWave Computing (UK) Limited, Imagination Technologies, Inc., Caustic Graphics, Inc., and MIP28 12 Inc. (“Wave”) and its debtor affiliates, as debtors and debtors-in-possession (collectivel3 the “Debtors”), Prestige Century Investments Limited (“Prestige”), and CIP United Co., Ltd. (“CIP,4 and together with the Debtors and Prestige, the “Parties”), by and through their respective undersigne5 counsel.WHEREAS on October 21, 2020, the Debtors filed the Debtors’ Objection to Proofs of Clai10 Nos. 56 and 57 Filed byWHEREAS on November 18, 2020, CIP and Prestige (collectively, the “CIP Entities”) filethe Prestige Century Investments Limited and CIP United Co. Ltd.’s Motion for Temporary Allowanc16 of Claims [Fed. R. Bankr.The Proofs of Claim are referred to in the register maintained by Donlin Recano & Company as DClaim Nos. 88 and 89 and in the register maintained by the Court as Claim Nos.

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1 SIDLEY AUSTIN LLP Samuel A. Newman (SBN 217042) 2 (sam.newman@sidley.com) Genevieve G. Weiner (SBN 254272) 3 (gweiner@sidley.com) Julia Philips Roth (SBN 324987) 4 (julia.roth@sidley.com) 555 West Fifth Street 5 Los Angeles, CA 90013 Telephone: 213.896.6000 6 Facsimile: 213.896.6600 7 SIDLEY AUSTIN LLP Charles M. Persons (admitted pro hac vice) 8 (cpersons@sidley.com) Juliana Hoffman (admitted pro hac vice) 9 (jhoffman@sidley.com) Jeri Leigh Miller (admitted pro hac vice) 10 (jeri.miller@sidley.com) 2021 McKinney Avenue 11 Suite 2000 Dallas, TX 75201 12 Telephone: 214.981.3300 Facsimile: 214.981.3400 13 Attorneys for Debtors and Debtors in 14 Possession 15 UNITED STATES BANKRUPTCY COURT 16 NORTHERN DISTRICT OF CALIFORNIA 17 SAN JOSE DIVISION 18 19 In re: ) Case No. 20-50682 (MEH) ) 20 WAVE COMPUTING, INC., et al., ) Chapter 11 (Jointly Administered) ) 21 Debtors.1 ) STIPULATION AND PROPOSED ORDE ) 22 REGARDING OBJECTION TO CIP AND ) PRESTIGE CLAIMS AND MOTION FOR 23 ) TEMPORARY ALLOWANCE ) 24 ) Related to Docket Nos. 792, 645, 626 ) 25 ) [No Hearing Requested] 26 27 1 The Debtors in these chapter 11 cases are Wave Computing, Inc., MIPS Tech, Inc., Hellosoft, IncWave Computing (UK) Limited, Imagination Technologies, Inc., Caustic Graphics, Inc., and MIP28

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1 This stipulation (the “Stipulation”) is made and entered into by and between Wave Computin 2 Inc. (“Wave”) and its debtor affiliates, as debtors and debtors-in-possession (collectivel3 the “Debtors”), Prestige Century Investments Limited (“Prestige”), and CIP United Co., Ltd. (“CIP,4 and together with the Debtors and Prestige, the “Parties”), by and through their respective undersigne5 counsel. 6 RECITALS 7 WHEREAS on October 21, 2020, the Debtors filed the Debtors’ Amended Third OmnibuObjection to Certain Proofs of Claim (Duplicate Claims) [Docket No. 626] (the “Omnibu 8 Objection”), objecting to, among other things, Prestige’s proofs of claim nos. 58-1 and 59-1;2 9 WHEREAS on October 21, 2020, the Debtors filed the Debtors’ Objection to Proofs of Clai10 Nos. 56 and 57 Filed by CIP United Co. Ltd. [Docket No. 645] (the “CIP Objection, and together witthe Omnibus Objection, the “Objections”), objecting to CIP’s proofs of claim nos. 56-1 and 57-1;3 11 WHEREAS the Debtors scheduled a hearing on the Objections for December 16, 2020 12 10:15 a.m. (Pacific Time); 13 WHEREAS the reply deadline for the Objections is December 9, 2020 at 4:00 p.m. (PacifiTime); 14 15 WHEREAS on November 18, 2020, CIP and Prestige (collectively, the “CIP Entities”) filethe Prestige Century Investments Limited and CIP United Co. Ltd.’s Motion for Temporary Allowanc16 of Claims [Fed. R. Bankr. P. 3018] [Docket No. 792] (the “Motion”); 17 WHEREAS the CIP Entities scheduled a hearing on the Motion for December 16, 2020 10:15 a.m. (Pacific Time); 18 WHEREAS the Motion set an objection deadline for the Debtors of December 2, 2020; 19 WHEREAS on November 25, 2020, the Debtors served the CIP Entities with the Debtors20 First Set of Interrogatories (the “Interrogatories”), First Set of Requests for Production (“Requests fo21 Production”), and a Notice of 30(b)(6) Deposition (“Deposition,” and together with the Interrogatorieand the Requests for Production, the “Discovery”), each of which seeks discovery relating to th22 Motion; 23 WHEREAS counsel for the Parties are engaged in ongoing discussions concerning a potentiresolution of the Objections and Motion and, in connection with these discussions, the Parties hav24 agreed to continue the hearing and briefing deadlines for the Objections and Motion in accordanc25 26 2 The Proofs of Claim are referred to in the register maintained by Donlin Recano & Company as DClaim Nos. 88 and 89 and in the register maintained by the Court as Claim Nos. 58-1 and 59-1. 27 3 The Proofs of Claim are referred to in the register maintained by Donlin Recano & Company as D

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1 with the terms set forth herein and in the proposed order attached hereto as Exhibit A (the “Order”). 2 NOW THEREFORE, it is hereby stipulated and agreed by the Parties: 3 1. The Debtors continue the Omnibus Objection as to Prestige’s Claim only to Januar6, 2021 at 10:00 a.m. (Pacific Time) 4 2. The Debtors continue the CIP Objection to January 6, 2021 at 10:00 a.m. (Pacifi 5 Time). 6 3. The hearing on the Objections will be treated as a status conference under Rule 3007 1(b) of the Bankruptcy Local Rules of the United States Bankruptcy Court for the Northern Distriof California. 8 4. The Debtors’ deadline to file a reply in support of the Omnibus Objection as to th 9 Prestige Claim and the CIP Objection is continued to December 30, 2020 at 4:00 p.m. (Pacific Time10 5. The CIP Entities continue the Motion to January 6, 2021 at 10:00 a.m. (Pacifi11 Time). 12 6. The Debtors’ deadline to file a response to the Motion is continued to December 22020 at 4:00 p.m. (Pacific Time) and the CIP Entities deadline to file a reply is continued t13 December 30, 2020 at 4:00 p.m. (Pacific Time). 14 7. The CIP Entities shall serve written responses to the Interrogatories and producdocuments responsive to the Requests for Production, if any, by December 21, 2020. 15 16 8. The CIP Entities shall negotiate in good faith regarding the timing and necessity of thDeposition such that the Deposition can be completed, if it occurs, on or before December 30, 20217 Any Deposition shall take place remotely according to the procedures set forth in the Depositionotice. 18 9. Nothing in this Stipulation shall preclude (i) Prestige or CIP from objecting to th19 Discovery or seeking a protective order from the Court, (ii) the Debtors from seeking to compel anof the Discovery, or (iii) either Party from pursuing any other right or remedy provided under th20 Federal Rules of Bankruptcy Procedure. 21 10. The Debtors shall have the right to file a supplemental brief of no more than seven (22 pages, which shall be limited in all respects new evidence deduced through the Discovery, bDecember 31, 2020. 23 11. The CIP Entities will have the right to file a response to the Debtors’ supplemental bri24 of no more than seven (7) pages by January 4, 2021. 25 12. Except as expressly set forth in this Stipulation, nothing contained herein shall be a26 admission or a waiver of the substantive or procedural rights, remedies, claims, or defenses of any the Parties. 27

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1 13. The Bankruptcy Court shall retain jurisdiction with respect to all matters arising froor related to the implementation, interpretation, or enforcement of this Stipulation and the Order. 2 3 4 5 SO STIPULATED: 6 7 SEVERSON & WERSON, P.C. SIDLEY AUSTIN LLP 8 /s/ Bernard J. Kornberg /s/Jeri Leigh Miller 9 Bernard J. Kornberg Samuel A. Newman Genevieve G. Weiner 10 Attorney for the CIP Entities Jeri Leigh Miller 11 Attorneys for Debtors and Debtors in Possession 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27

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