HTML Document View

Full title: Certification of Counsel Regarding Motion of Melissa Quattrone to Enlarge Time to File a Proof of Claim (related document(s)[700]) Filed by Melissa Quattrone. (Attachments: # (1) Proposed Form of Order) (Brown, Amy)

Document posted on Sep 7, 2021 in the bankruptcy, 2 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

On August 25, 2021, Melissa Quattrone (“Claimant”) filed her Motion of Melissa Quattrone to Enlarge Time to File a Proof of Claim [D.I. 700] (the “Motion”) with the United States Bankruptcy Court for the District of Delaware (the “Court”).Claimant received informal comments from Debtors Alamo Drafthouse Cinemas Holdings, Inc., et al (the “Debtors”). 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).Debtors’ counsel and counsel for the Claimant have agreed to the terms set forth in the proposed order attached hereto as Exhibit A that resolves the Motion. Based on the foregoing, the undersigned respectfully submits that the Court may enter the proposed order since no other responses were received and since the form of order is consensual as to only the interested parties who responded to the Motion.

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, INC., et al., (Jointly Administered) Debtors. 1 Related to Docket No. 700 CERTIFICATION OF COUNSEL REGARDING MOTION OF MELISSA QUATTRONE TO ENLARGE TIME TO FILE A PROOF OF CLAIM I, Amy D. Brown, hereby certify the following: 1. On August 25, 2021, Melissa Quattrone (“Claimant”) filed her Motion of Melissa Quattrone to Enlarge Time to File a Proof of Claim [D.I. 700] (the “Motion”) with the United States Bankruptcy Court for the District of Delaware (the “Court”). 2. As set forth in the Motion, the objection deadline was September 8, 2021 at 4:00 p.m. (ET), and a hearing is scheduled for October 14, 2021. 3. Prior to the objection deadline, counsel for the Claimant received informal comments from Debtors Alamo Drafthouse Cinemas Holdings, Inc., et al (the “Debtors”). 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.

1

4. Debtors’ counsel and counsel for the Claimant have agreed to the terms set forth in the proposed order attached hereto as Exhibit A that resolves the Motion. 5. Based on the foregoing, the undersigned respectfully submits that the Court may enter the proposed order since no other responses were received and since the form of order is consensual as to only the interested parties who responded to the Motion. WHEREFORE, the undersigned respectfully submits that the Court may enter the proposed order attached hereto as Exhibit A without further notice or a hearing. Dated: September 8, 2021 GELLERT SCALI BUSENKELL & BROWN, LLC /s/ Amy D. Brown Ronald S. Gellert (DE 4259) Amy D. Brown (DE 4077) 1201 N. Orange Street, Suite 300 Wilmington, DE 19801 Telephone: (302) 425-5800 Facsimile: (302) 425-5814 rgellert@gsbblaw.com abrown@gsbblaw.com Counsel to Claimant Melissa Quattrone

2