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Full title: Objection of Kireland Coral Terrace, LLC To The Debtors Notice Of Intent To Assume And Assign Executory Contracts And Unexpired Leases And Reservation Of Rights (related document(s)677) Filed by Kireland Coral Terrace, LLC (Attachments: # 1 Exhibit A # 2 Exhibit B # 3 Certificate of Service) (Kaufman, Susan) (Entered: 02/04/2021)

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

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Related to Docket No. 677 ) OBJECTION OF KIRELAND CORAL TERRACE, LLC TO THE DEBTORS’ NOTICE OF INTENT TO ASSUME AND ASSIGN EXECUTORY CONTRACTS AND UNEXPIRED LEASES AND RESERVATION OF RIGHTS Now comes creditor Kireland Coral Terrace, LLC (“Kireland”), and files this Objection to the proposed cure amount set forth in the Notice of Intent to Assume and Assign Executory Contracts and Unexpired Leases (ECF No. 677) (the “Cure Notice”), and states as follows: 1. In addition to pre-petition amounts due, the Debtor has failed to pay amounts due during the post-Petition Date period.Kireland reserves the right to amend or supplement the cure amount from time to time and at any time, and requests the Debtors remain liable for, among other things, certain amounts due and owing under the Lease but which may be unbilled as of the date hereof, including attorney’s fees and costs incurred in this matter. WHEREFORE, Kireland Coral Terrace LLC respectfully requests the Court (i) sustain this Objection; (ii) require any order authorizing the assumption of the Lease affirmatively require the Debtors to pay all amounts due; and (iii) grant any other and further relief as the Court deems just and proper.Miami, FL 33131 Telephone: 305.379.7904 Facsimile: 305.379.7905 Email: dquick@bastamron.com Attorneys for Kireland Coral Terrace LLC

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: ) Chapter 11 ) YOU FIT HEALTH CLUBS, LLC., et ) Case No. 20-12841 (MFW) al., ) (Jointly Administered) ) Debtors. ) Related to Docket No. 677 ) OBJECTION OF KIRELAND CORAL TERRACE, LLC TO THE DEBTORS’ NOTICE OF INTENT TO ASSUME AND ASSIGN EXECUTORY CONTRACTS AND UNEXPIRED LEASES AND RESERVATION OF RIGHTS Now comes creditor Kireland Coral Terrace, LLC (“Kireland”), and files this Objection to the proposed cure amount set forth in the Notice of Intent to Assume and Assign Executory Contracts and Unexpired Leases (ECF No. 677) (the “Cure Notice”), and states as follows: 1. Kireland is the owner of real property located 7070 SW 24th Street, Miami, Florida 33155 (the “Property”). 2. On or about June 16, 2014, Kireland as landlord, and YF Coral Way, LLC, as tenant (the “Debtor”), entered into a non-residential lease agreement of the Property (the “Lease”). 3. Subsequently on November 9, 2020 (the “Petition Date”), the Debtor filed a voluntary petition for relief under Chapter 11 of Title 11 of the United States Code. 4. The Debtor has filed their intention to assume the Lease of the Property with a proposed cure amount of $0.00. 5. Kireland objects to the proposed cure amount as it is inaccurate based upon Kireland’s books and records, according to which the Debtor’s actual cure amount is $306,139.10 for the pre-Petition Date period. Details of the amounts due and owing pre-petition are provided at Exhibit A.

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6. In addition to pre-petition amounts due, the Debtor has failed to pay amounts due during the post-Petition Date period. The unpaid rent due from the Petition Date through the present is $116,231.69. Details of the amount due and owing post-petition are provided at Exhibit B. 7. Based on the foregoing, the amount needed to cure is $422,370.79. 8. Further, Kireland also seeks adequate assurance of future performance for the current period and the Debtor’s ability to meet its obligations under the Lease Addendum that is contemplated but not finalized. 9. Kireland reserves the right to amend or supplement the cure amount from time to time and at any time, and requests the Debtors remain liable for, among other things, certain amounts due and owing under the Lease but which may be unbilled as of the date hereof, including attorney’s fees and costs incurred in this matter. WHEREFORE, Kireland Coral Terrace LLC respectfully requests the Court (i) sustain this Objection; (ii) require any order authorizing the assumption of the Lease affirmatively require the Debtors to pay all amounts due; and (iii) grant any other and further relief as the Court deems just and proper. Dated: February 4, 2020 LAW OFFICE OF SUSAN E. KAUFMAN, LLC /s/ Susan E. Kaufman Susan E. Kaufman, (DSB# 3381) 919 North Market Street, Suite 460 Wilmington, DE 19801 (302) 472-7420 (302) 792-7420 Fax skauf man@skauf manlaw. com and

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BAST AMRON LLP Dana R. Quick (Pro Hac Vice pending) One Southeast Third Avenue, Suite 1400 Miami, FL 33131 Telephone: 305.379.7904 Facsimile: 305.379.7905 Email: dquick@bastamron.com Attorneys for Kireland Coral Terrace LLC