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Full title: Exhibit(s) - List of Witnesses and Exhibits for the September 3, 2021 Hearing (related document(s)[895]) Filed by The Bancorp Bank. (Attachments: # (1) Certificate of Service) (Giattino, David)

Document posted on Aug 31, 2021 in the bankruptcy, 3 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

Related to ECF No. 895 and 907. ) LIST OF WITNESSES AND EXHIBITS FOR THE SEPTEMBER 3, 2021 HEARING As the Chamber Procedures for Judge Craig T. Goldblatt require, The Bancorp Bank (“Bancorp”) hereby submits this list of witnesses and exhibits ahead of the Court’s hearing on the Motion for Entry of an Order Clarifying the Court’s Vehicle Surrender Orders with Respect to Continuing Liabilities [ECF No. 895] (the “Motion”).First: The Bancorp Bank (“Bancorp”) intends to call one of the three following people (the “Possible Witnesses”) as a witness at the hearing on the Motion: 1. Whichever of the Possible Witnesses that Bancorp calls to testify (the “Testifying Witness”) will testify with respect to factual allegations that Bancorp set forth in the Objection of The Bancorp Bank to the Motion for Entry of an Order Clarifying the Court’s Vehicle Surrender Orders with Respect to Continuing Liabilities [ECF No. 907]At the hearing on the Motion, Robert Lapowsky, Esq., who the Court has admitted pro hac vice to represent Bancorp in these cases under the Bankruptcy Code,1 will be moving for the admission of the above documentary evidence into the record; therefore, the courtroom deputy should authorize Mr. Lapowsky to share his screen.

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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. ) Related to ECF No. 895 and 907. ) LIST OF WITNESSES AND EXHIBITS FOR THE SEPTEMBER 3, 2021 HEARING As the Chamber Procedures for Judge Craig T. Goldblatt require, The Bancorp Bank (“Bancorp”) hereby submits this list of witnesses and exhibits ahead of the Court’s hearing on the Motion for Entry of an Order Clarifying the Court’s Vehicle Surrender Orders with Respect to Continuing Liabilities [ECF No. 895] (the “Motion”). First: The Bancorp Bank (“Bancorp”) intends to call one of the three following people (the “Possible Witnesses”) as a witness at the hearing on the Motion: 1. Scott R. Megargee, 2. Jeff Baron, or 3. Doug Magee. Whichever of the Possible Witnesses that Bancorp calls to testify (the “Testifying Witness”) will testify with respect to factual allegations that Bancorp set forth in the Objection of The Bancorp Bank to the Motion for Entry of an Order Clarifying the Court’s Vehicle Surrender Orders with Respect to Continuing Liabilities [ECF No. 907] (the “Objection”). Further, to facilitate the admission of the Testifying Witness’s testimony into the record, Bancorp might file a declaration of the Testifying Witness in support of the Objection.

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Second: Bancorp intends to introduce the following documentary evidence for admission into the record:
Table 1 on page 2. Back to List of Tables
Exhibit’s Number Exhibit’s Name ECF Number,
If Any
Bancorp-1 Order Granting Relief from the
Automatic Stay to the Bancorp Bank
250
Bancorp-2 Stipulation Between the Bancorp
Bank and Certain of the Debtors
250-1
Bancorp-3 Certification of Counsel Regarding
Stipulation Between the Bancorp
Bank and Certain of the Debtors
192
Bancorp-4 Affidavit of Service (with respect to
the Motion)
898
Bancorp-5 Declaration of the Testifying Witness
in support of the Objection of The
Bancorp Bank to the Motion for Entry
of an Order Clarifying the Court’s
Vehicle Surrender Orders with
Respect to Continuing Liabilities, if
Bancorp files such a declaration
To Be
Determined
At the hearing on the Motion, Robert Lapowsky, Esq., who the Court has admitted pro hac vice to represent Bancorp in these cases under the Bankruptcy Code,1 will be moving for the admission of the above documentary evidence into the record; therefore, the courtroom deputy should authorize Mr. Lapowsky to share his screen. 1 See Motion and Order for Admission Pro Hac Vice, May 29, 2020, ECF No. 36.

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Dated: September 1, 2021 Respectfully submitted, Wilmington, Delaware STEVENS & LEE, P.C. /s/ David W. Giattino David W. Giattino (No. 5614) 919 North Market Street, Suite 1300 Wilmington, Delaware 19801 Tel: (302) 425-2608 Fax: (610) 371-7988 E-mail: david.giattino@stevenslee.com – and – Robert Lapowsky, Esq. 620 Freedom Business Center, Suite 200 King of Prussia, Pennsylvania 19406 Tel: (215) 751-2866 Fax: (610) 371-7958 E-mail: robert.lapowsky@stevenslee.com Counsel to The Bancorp Bank

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