HTML Document View

Full title: Certification of Counsel Regarding Proposed Omnibus Order Approving First Interim Fee Requests of Debtors' Professionals (related document(s)[596]) Filed by Alamo Drafthouse Cinemas Holdings, LLC. (Attachments: # (1) Exhibit 1) (Kochenash, Jared)

Document posted on Jul 29, 2021 in the bankruptcy, 2 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

HOLDINGS, LLC, et al., (Jointly Administered) Debtors.1 Re: Docket No.The professionals retained in these chapter 11 cases by the above-captioned debtors and debtors in possession (collectively, the “Debtors”) have filed their respective requests and related supplements for interim allowance of compensation and reimbursement of expenses [Docket No. 596] (collectively, the “Interim Fee Request”).The undersigned hereby certifies, as of the date hereof, that no answer, objection, or other responsive pleading to the Interim Fee Request has been received, and that he has reviewed 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification number, are: Alamo Drafthouse Cinemas Holdings, LLC (2205); Alamo Drafthouse Cinemas, LLC (5717); Alamo Vineland, LLC (1626); Alamo League Investments GP, LLC (1811); Alamo League Investments, Ltd. (7227); Alamo South Lamar GP, LLC (3632); Alamo South Lamar, LP (4563); Alamo Drafthouse Raleigh, LLC (5979); Alamo DH Anderson Lane, LLC (3642); Alamo Yonkers, LLC (4971); Alamo Mission, LLC (2284); Alamo Ritz, LLC (9465); Alamo Mueller, LLC (1221); Mondo Tees, LLC (6900); Alamo City Foundry, LLC (6092); Alamo Mainstreet, LLC (2052); Alamo City Point, LLC (3691); Alamo Liberty, LLC (5755); Alamo Satown, LLC (6197); Alamo Marketplace, LLC (7041); Alamo Stone Oak, LLC (8398); Alamo Westlakes, LLC (4931); Alamo Park North, LLC (1252); Alamo North SA, LLC (6623); Alamo Avenue B, LLC (8950); Alamo Slaughter Lane GP, LLC (6968); Alamo Slaughter Lane, Ltd. (5341); Alamo Cinema Group I GP, LLC (9537); Alamo Cinema Group I, LP (9656); Alamo Westminster, LLC (8906); Alamo Staten Island, LLC (7781); Alamo Aspen Grove, LLC (7786); Alamo Lakeline, LLC (5294); Alamo Sloans, LLC (9343). Accordingly, the undersigned respectfully requests that the Court enter the proposed form of order attached hereto as Exhibit 1 at its earliest convenience without further notice or a hearing. YOUNG CONAWAY STARGATT & TAYLOR, LLP Wilmington, Delaware /s/ Jared W. Kochenash M. Blake Cleary (No. 3614) (mbcleary@ycst.com)

List of Tables

Document Contents

IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: Chapter 11 ALAMO DRAFTHOUSE CINEMAS Case No. 21-10474 (MFW) HOLDINGS, LLC, et al., (Jointly Administered) Debtors.1 Re: Docket No. 596 CERTIFICATION OF COUNSEL REGARDING PROPOSED OMNIBUS ORDER APPROVING FIRST INTERIM FEE REQUESTS OF DEBTORS’ PROFESSIONALS The professionals retained in these chapter 11 cases by the above-captioned debtors and debtors in possession (collectively, the “Debtors”) have filed their respective requests and related supplements for interim allowance of compensation and reimbursement of expenses [Docket No. 596] (collectively, the “Interim Fee Request”). Objections, if any, to the Interim Fee Request was required to be filed and served on, among others, the affected Professionals and the Debtors on or before July 29, 2021. The undersigned hereby certifies, as of the date hereof, that no answer, objection, or other responsive pleading to the Interim Fee Request has been received, and that he has reviewed 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification number, are: Alamo Drafthouse Cinemas Holdings, LLC (2205); Alamo Drafthouse Cinemas, LLC (5717); Alamo Vineland, LLC (1626); Alamo League Investments GP, LLC (1811); Alamo League Investments, Ltd. (7227); Alamo South Lamar GP, LLC (3632); Alamo South Lamar, LP (4563); Alamo Drafthouse Raleigh, LLC (5979); Alamo DH Anderson Lane, LLC (3642); Alamo Yonkers, LLC (4971); Alamo Mission, LLC (2284); Alamo Ritz, LLC (9465); Alamo Mueller, LLC (1221); Mondo Tees, LLC (6900); Alamo City Foundry, LLC (6092); Alamo Mainstreet, LLC (2052); Alamo City Point, LLC (3691); Alamo Liberty, LLC (5755); Alamo Satown, LLC (6197); Alamo Marketplace, LLC (7041); Alamo Stone Oak, LLC (8398); Alamo Westlakes, LLC (4931); Alamo Park North, LLC (1252); Alamo North SA, LLC (6623); Alamo Avenue B, LLC (8950); Alamo Slaughter Lane GP, LLC (6968); Alamo Slaughter Lane, Ltd. (5341); Alamo Cinema Group I GP, LLC (9537); Alamo Cinema Group I, LP (9656); Alamo Westminster, LLC (8906); Alamo Staten Island, LLC (7781); Alamo Aspen Grove, LLC (7786); Alamo Lakeline, LLC (5294); Alamo Sloans, LLC (9343). The location of the Debtors’ service address is: 3908 Avenue B, Austin, Texas 78751. 8413147.1

1

the docket in these chapter 11 cases and no answer, objection, or other responsive pleading to the Interim Fee Request appears thereon. Accordingly, the undersigned respectfully requests that the Court enter the proposed form of order attached hereto as Exhibit 1 at its earliest convenience without further notice or a hearing. Dated: July 30, 2021 YOUNG CONAWAY STARGATT & TAYLOR, LLP Wilmington, Delaware /s/ Jared W. Kochenash M. Blake Cleary (No. 3614) (mbcleary@ycst.com) Matthew B. Lunn (No. 4119) (mlunn@ycst.com) Kenneth J. Enos (No. 4544) (kenos@ycst.com) Betsy L. Feldman (No. 6410) (bfeldman@ycst.com) Jared W. Kochenash (No. 6557) (jkochenash@ycst.com) 1000 N. King Street Wilmington, Delaware 19801 Telephone: (302) 571-6600 Facsimile: (302) 571-1253 Counsel to the Debtors and Debtors in Possession 8413147.1

2