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Full title: Certification of Counsel Regarding Order Approving Stipulation Granting Relief from any Applicable Stay and/or Injunction With Respect to Personal Injury Claim of D.L., a Minor (ClauDean Kizart, Parent) (related document(s)[909]) Filed by BL Restaurants GUC Trust. (Attachments: # (1) Exhibit A (Proposed Order) # (2) Exhibit 1 (Stipulation)) (Patterson, Morgan)

Document posted on Dec 13, 2021 in the bankruptcy, 2 pages and 0 tables.

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No. 909 CERTIFICATION OF COUNSEL REGARDING ORDER APPROVING STIPULATION GRANTING RELIEF FROM ANYAPPLICABLE STAY AND/OR INJUNCTION WITH RESPECT TO PERSONAL INJURY CLAIM OF D.L., A MINOR (CLAUDEAN KIZART, PARENT) The undersigned counsel to the BL Restaurants GUC Trust (the “Trust”) hereby certifies as follows regarding the Stipulation Granting Relief from any Applicable Stay and/or Injunction With Respect to Minor (ClauDean Kizart, Parent) (the “Stipulation”)2 attached as Exhibit 1 to the proposed order (the “Proposed Order”) attached hereto as Exhibit A: 1. The Debtors in these cases are as follows: BL Restaurants Holding, LLC; BL Restaurant Operations, LLC; BL Restaurant Franchises, LLC; and BL Hunt Valley, LLC.Late Filed Claims; (C) Amended and Superseded Claims; and (D) Insufficient Documentation Claims

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: Chapter 11 BL RESTAURANTS HOLDING, LLC, et al.,1 Case No. 20-10156 (CTG) Debtors. (Jointly Administered) Related Docket No. 909 CERTIFICATION OF COUNSEL REGARDING ORDER APPROVING STIPULATION GRANTING RELIEF FROM ANYAPPLICABLE STAY AND/OR INJUNCTION WITH RESPECT TO PERSONAL INJURY CLAIM OF D.L., A MINOR (CLAUDEAN KIZART, PARENT) The undersigned counsel to the BL Restaurants GUC Trust (the “Trust”) hereby certifies as follows regarding the Stipulation Granting Relief from any Applicable Stay and/or Injunction With Respect to Personal Injury Claim of D.L., a Minor (ClauDean Kizart, Parent) (the “Stipulation”)2 attached as Exhibit 1 to the proposed order (the “Proposed Order”) attached hereto as Exhibit A: 1. The Trust and D.L., a Minor (ClauDean Kizart, Parent) (the “Claimant”) entered into the Stipulation on December 14, 2021. Pursuant to and as more fully set forth in the Stipulation, the Trust and the Claimant have agreed to modify any applicable stay and/or injunction to allow the Claimant to pursue any claims with respect to the Incident solely against any applicable insurance proceeds. 1 The Debtors in these cases are as follows: BL Restaurants Holding, LLC; BL Restaurant Operations, LLC; BL Restaurant Franchises, LLC; and BL Hunt Valley, LLC. 2 Capitalized terms not otherwise defined herein shall have the meaning ascribed to them in the Stipulation.

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2. The Stipulation also resolves the First Omnibus (Non-Substantive) Objection of the BL Restaurants GUC Trust to Certain (A) Duplicative Claims; (B) Late Filed Claims; (C) Amended and Superseded Claims; and (D) Insufficient Documentation Claims [Docket No. 909] with respect to Claim 10254 filed by the Claimant. WHEREFORE, for the reasons herein and the Stipulation, the Trust respectfully requests that the Court enter the Proposed Order approving the Stipulation at the convenience of the Court. Dated: Wilmington, Delaware WOMBLE BOND DICKINSON (US) LLP December 14, 2021 /s/ Morgan L. Patterson Matthew P. Ward (DE No. 4471) Morgan L. Patterson (DE No. 5388) 1313 North Market Street, Suite 1200 Wilmington, Delaware 19801 Tel: (302) 252-4320 Fax: (302) 252-4330 - and - KELLEY DRYE & WARREN LLP Eric R. Wilson (admitted pro hac vice) Jason R. Adams (admitted pro hac vice) Lauren S. Schlussel (admitted pro hac vice) 3 World Trade Center 175 Greenwich Street New York, New York 10007 Tel: (212) 808-7800 Fax: (212) 808-7897 Counsel to the BL Restaurants GUC Trust

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