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Full title: Certification of Counsel Regarding Debtors' Motion for Entry of an Order (I) Establishing a Supplemental Vehicle Claims Bar Date, (II) Approving the Form, Manner, and Sufficiency of Notice Thereof, and (III) Approving Procedures Regarding Objections to Vehicle Claims (related document(s)[950]) Filed by Advantage Holdco, Inc.. (Attachments: # (1) Exhibit A # (2) Exhibit B) (Roth-Moore, Andrew)

Document posted on Oct 12, 2021 in the bankruptcy, 2 pages and 0 tables.

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Related to Docket No. 950 CERTIFICATION OF COUNSEL REGARDING DEBTORS’ MOTION FOR ENTRY OF AN ORDER (I) ESTABLISHING A SUPPLEMENTAL VEHICLE CLAIMS BAR DATE, (II) APPROVING THE FORM, MANNER, AND SUFFICIENCY OF NOTICE THEREOF, AND (III) APPROVING PROCEDURES REGARDING OBJECTIONS TO THE VEHICLE CLAIMS To resolve these comments, the Debtors and the US Trustee agreed to changes to the proposed order.Attached hereto as Exhibit A is a revised proposed order (the “Revised Proposed Order”) and attached as Exhibit B is a blacklined 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 the Debtors’ DIP Lender and the Committee reviewed the Revised Proposed Order and do not oppose its entry. The Objection Deadline has passed, and no other objections or responses to the Motion appear on the docket or were served upon undersigned counsel.

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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) Related to Docket No. 950 CERTIFICATION OF COUNSEL REGARDING DEBTORS’ MOTION FOR ENTRY OF AN ORDER (I) ESTABLISHING A SUPPLEMENTAL VEHICLE CLAIMS BAR DATE, (II) APPROVING THE FORM, MANNER, AND SUFFICIENCY OF NOTICE THEREOF, AND (III) APPROVING PROCEDURES REGARDING OBJECTIONS TO THE VEHICLE CLAIMS The undersigned, counsel to the above-captioned debtors and debtors in possession (collectively, the “Debtors”), hereby certifies as follows: 1. On September 24, 2021 the Debtors filed the Debtors’ Motion for Entry of an Order (I) Establishing a Supplemental Vehicle Claims Bar Date, (II) Approving the Form, Manner, and Sufficiency of Notice Thereof, and (III) Approving Procedures Regarding Objections to the Vehicle Claims [Docket No. 950] (the “Motion”). 2. Pursuant to the notice of the Motion, the deadline to file an objection to the Motion with the Court was 4:00 p.m. on October 8, 2021 (the “Objection Deadline”). 3. The Debtors received informal comments to the Motion from the Office of the United States (the “US Trustee”). To resolve these comments, the Debtors and the US Trustee agreed to changes to the proposed order. Attached hereto as Exhibit A is a revised proposed order (the “Revised Proposed Order”) and attached as Exhibit B is a blacklined Revised Proposed Order reflecting all revisions to the proposed order filed with the Motion. Counsel to 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

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the Debtors’ DIP Lender and the Committee reviewed the Revised Proposed Order and do not oppose its entry. 4. The Objection Deadline has passed, and no other objections or responses to the Motion appear on the docket or were served upon undersigned counsel. WHEREFORE, the Debtors respectfully request the Court enter the Revised Proposed Order at its earliest convenience. Dated: October 13, 2021 COLE SCHOTZ P.C. /s/ Andrew J. Roth-Moore Norman L. Pernick (No. 2290) Justin R. Alberto (No. 5126) Patrick J. Reilley (No. 4451) Andrew J. Roth-Moore (No. 5988) 500 Delaware Avenue, Suite 1410 Wilmington, DE 19801 Telephone: (302) 652-3131 Facsimile: (302) 652-3117 npernick@coleschotz.com jalberto@coleschotz.com preilley@coleschotz.com aroth-moore@coleschotz.com Counsel to the Debtors and Debtors in Possession

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