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Full title: Certificate of No Objection Regarding Debtors' Motion for Order Further Extending the Time Period Within Which the Debtors May Remove Actions Pursuant to 28 U.S.C. § 1452 (related document(s)[954]) Filed by Advantage Holdco, Inc.. (Roth-Moore, Andrew)

Document posted on Oct 21, 2021 in the bankruptcy, 2 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

Case No. 20-11259 (CTG) Debtors.1 (Jointly Administered) The undersigned hereby certifies that, on September 27, 2021, the Debtors filed the Debtors’ Motion for Order Further Extending the Time Period Within Which the Debtors May Remove Actions Pursuant to 28 U.S.C. § 1452 [Docket No. 954](the “Motion”), and, pursuant to the notice filed with the Motion, objections to the Motion were to be filed and served no later than October 12, 2021 at 4:00 p.m.The undersigned further certifies the Objection Deadline has passed and he has received no informal responses and has reviewed the Court’s docket in these cases, and no answer, objection, or other responsive pleading to the Motion appears thereon.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).

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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) Re: Docket No. 954 CERTIFICATE OF NO OBJECTION REGARDING DEBTORS’ MOTION FOR ORDER FURTHER EXTENDING THE TIME PERIOD WITHIN WHICH THE DEBTORS MAY REMOVE ACTIONS PURSUANT TO 28 U.S.C. § 1452 The undersigned hereby certifies that, on September 27, 2021, the Debtors filed the Debtors’ Motion for Order Further Extending the Time Period Within Which the Debtors May Remove Actions Pursuant to 28 U.S.C. § 1452 [Docket No. 954] (the “Motion”), and, pursuant to the notice filed with the Motion, objections to the Motion were to be filed and served no later than October 12, 2021 at 4:00 p.m. (ET) (the “Objection Deadline”). The undersigned further certifies the Objection Deadline has passed and he has received no informal responses and has reviewed the Court’s docket in these cases, and no answer, objection, or other responsive pleading to the Motion appears thereon. Therefore, the undersigned respectfully requests that, at its convenience, the Court enter the proposed order attached to the Motion. 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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Dated: October 22, 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, Delaware 19801 Telephone: (302) 652-3131 Facsimile: (302) 652-3117 npernick@coleschotz.com jalberto@coleschotz.com preilley@coleschotz.com aroth-moore@coleschotz.com Counsel for Debtors and Debtors in Possession

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