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Full title: Certificate of No Objection - No Order Required Regarding Eighteenth Monthly Fee Application of Baker & Hostetler LLP, Counsel for the Official Committee of Unsecured Creditors, for the period November 1, 2021 to November 30, 2021 (related document(s)[1080]) Filed by Official Committee of Unsecured Creditors. (Keilson, Brya)

Document posted on Jan 3, 2022 in the bankruptcy, 2 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

1080 CERTIFICATE OF NO OBJECTION REGARDING EIGHTEENTH MONTHLY FEE APPLICATION OF BAKER & HOSTETLER LLP, COUNSEL FOR THE OFFICIAL COMMITTEE OF UNSECURED CREDITORS, FOR ALLOWANCE OF The undersigned hereby certifies that, as of the date hereof, he has received no answer, objection or other responsive pleading to the Eighteenth Monthly Fee Application of Baker & Hostetler LLP for Allowance of Compensation and Reimbursement of Expenses as Counsel to the Official Committee of Unsecured Creditors for the Period from November 1, 2021 through November 30, 2021 (Doc.Advantage Holdco, Inc. (4832); Advantage Opco, LLC (9101); Advantage Vehicles LLC (6217); E-Z Rent A Car, LLC (2538); Central Florida Paint & Body, LLC (1183); Advantage Vehicle Financing LLC (7263); and RAC Vehicle Financing, LLC (8375). 2 On August 18, 2020, Highway Toll Administration, LLC ("HTA") and American Traffic Solutions Consolidated, LLC (“ATS” and with HTA, the “VM Contracting Parties”) filed a request for administrative expense claims (Dkt. No. 372), the VM Contracting Parties are reserving all rights with regards to any fees awarded, and payment of any amounts sought in the Application shall not affect the VM Contracting Parties’ right to seek payment of amounts which may be due to the VM Contracting Parties under their contracts with the Debtors.

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re Chapter 11 ADVANTAGE HOLDCO, INC., et al., Case No. 20-11259 (CTG) Debtors. 1 (Jointly Administered) R elates to Docket No. 1080 CERTIFICATE OF NO OBJECTION REGARDING EIGHTEENTH MONTHLY FEE APPLICATION OF BAKER & HOSTETLER LLP, COUNSEL FOR THE OFFICIAL COMMITTEE OF UNSECURED CREDITORS, FOR ALLOWANCE OF COMPENSATION AND REIMBURSEMENT OF EXPENSES FOR THE PERIOD OF NOVEMBER 1, 2021 THROUGH NOVEMBER 30, 2021 The undersigned hereby certifies that, as of the date hereof, he has received no answer, objection or other responsive pleading to the Eighteenth Monthly Fee Application of Baker & Hostetler LLP for Allowance of Compensation and Reimbursement of Expenses as Counsel to the Official Committee of Unsecured Creditors for the Period from November 1, 2021 through November 30, 2021 (Doc. No. 1080) (the “Application”), filed on December 15, 2021. The undersigned further certifies that he has reviewed the Court’s docket in these cases and no answer, objection or other responsive pleading to the Application appears thereon. Objections to the Application were to be filed and served no later than January 3, 2022 at 4:00 p.m. EST. Pursuant to the Order Establishing Procedures for Interim Compensation and Reimbursement of Expenses of Professional (Doc. No. 372), no further order is required, and the 1 The Debtors in these cases, along with the last four digits of each Debtor’s federal tax identification number, are: Advantage Holdco, Inc. (4832); Advantage Opco, LLC (9101); Advantage Vehicles LLC (6217); E-Z Rent A Car, LLC (2538); Central Florida Paint & Body, LLC (1183); Advantage Vehicle Financing LLC (7263); and RAC Vehicle Financing, LLC (8375). The Debtors’ address is PO Box 2818, Windermere, FL, 34786.

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Debtors are authorized to pay Baker & Hostetler LLP 80% of the fees, or $4,625.602, requested in the Application. Dated: January 4, 2022 BAKER & HOSTETLER LLP /s/ Andrew V. Layden Elizabeth A. Green (admitted pro hac vice) Andrew V. Layden (admitted pro hac vice) 200 S. Orange Avenue, Suite 2300 Orlando, FL 32801 Telephone: (407) 649-4000 Facsimile: (407) 841-0168 E-mail: egreen@bakerlaw.com E-mail: alayden@bakerlaw.com Counsel to the Official Committee of Unsecured Creditors of Advantage Holdco, Inc., et al. 2 On August 18, 2020, Highway Toll Administration, LLC ("HTA") and American Traffic Solutions Consolidated, LLC (“ATS” and with HTA, the “VM Contracting Parties”) filed a request for administrative expense claims (Dkt. No. 441). In accordance with Paragraph 2.B.i. of the Interim Compensation Order (Dkt. No. 372), the VM Contracting Parties are reserving all rights with regards to any fees awarded, and payment of any amounts sought in the Application shall not affect the VM Contracting Parties’ right to seek payment of amounts which may be due to the VM Contracting Parties under their contracts with the Debtors. Subject to the foregoing, the VM Contracting Parties do not object to payment in accordance with the Interim Compensation Order. 2

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