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Full title: Certificate of No Objection to Debtors' Motion for an Order Further (I) Extending the Deadline by Which the Debtors May Remove Civil Actions and (II) Granting Related Relief (Filed By CBL & Associates Properties, Inc. ).(Related document(s):[1423] Generic Motion) (Attachments: # (1) Ex. A - Proposed Order) (Perez, Alfredo)

Document posted on Sep 16, 2021 in the bankruptcy, 3 pages and 0 tables.

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In re: § Chapter 11 § CBL & ASSOCIATES § PROPERTIES, INC., et al., § Case(the “Motion”)2, with a proposed order granting the relief requested in the Motion attached thereto as Exhibit A (the “Proposed Order”).In accordance with paragraph 44 of the Procedures for Complex Cases in the Southern District of Texas, the undersigned counsel files this Certificate of No Objection and represents to the Court that (i) the undersigned counsel is unaware of any objection to the Motion 1 and (ii) the undersigned counsel has reviewed the Court’s docket and no objection to the Motion appears thereon.Therefore, the Debtors respectfully request entry of the Proposed Order attached hereto as Exhibit A.

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION In re: § Chapter 11 § CBL & ASSOCIATES § PROPERTIES, INC., et al., § Case No. 20- 35226 (DRJ) § Debtors.1 § (Jointly Administered) § Related Docket No. 1423 CERTIFICATE OF NO OBJECTION TO DEBTORS’ MOTION FOR AN ORDER FURTHER (I) EXTENDING THE DEADLINE BY WHICH THE DEBTORS MAY REMOVE CIVIL ACTIONS AND (II) GRANTING RELATED RELIEF 1. On August 26, 2021, CBL & Associates Properties, Inc. and its debtor affiliates, as debtors and debtors in possession in the above-captioned chapter 11 cases (collectively, the “Debtors”), filed the Debtors’ Motion for an Order Further (I) Extending the Deadline by Which the Debtors May Remove Civil Actions and (II) Granting Related Relief (Docket No. 1423) (the “Motion”)2, with a proposed order granting the relief requested in the Motion attached thereto as Exhibit A (the “Proposed Order”). Objections to the Motion were required to be filed within twenty-one (21) days from the date of service of the pleading (the “Objection Deadline”). 2. In accordance with paragraph 44 of the Procedures for Complex Cases in the Southern District of Texas, the undersigned counsel files this Certificate of No Objection and represents to the Court that (i) the undersigned counsel is unaware of any objection to the Motion 1 A complete list of the Debtors in these chapter 11 cases may be obtained on the website of the Debtors’ claims and noticing agent at https://dm.epiq11.com/CBLProperties. The Debtors’ service address for the purposes of these chapter 11 cases is 2030 Hamilton Place Blvd., Suite 500, Chattanooga, Tennessee 37421. 2 Capitalized terms used by not otherwise defined herein shall have the meanings ascribed to such terms in the Motion.

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and (ii) the undersigned counsel has reviewed the Court’s docket and no objection to the Motion appears thereon. 3. Therefore, the Debtors respectfully request entry of the Proposed Order attached hereto as Exhibit A. Dated: September 17, 2021 Respectfully submitted, /s/ Alfredo R. Pérez WEIL, GOTSHAL & MANGES LLP Alfredo R. Pérez (15776275) 700 Louisiana Street, Suite 1700 Houston, Texas 77002 Telephone: (713) 546-5000 Facsimile: (713) 224-9511 Email: Alfredo.Perez@weil.com -and- WEIL, GOTSHAL & MANGES LLP Ray C. Schrock, P.C. (admitted pro hac vice) Garrett A. Fail (admitted pro hac vice) Moshe A. Fink (admitted pro hac vice) 767 Fifth Avenue New York, New York 10153 Telephone: (212) 310-8000 Facsimile: (212) 310-8007 Email: Ray.Schrock@weil.com Garrett.Fail@weil.com Moshe.Fink@weil.com Attorneys for Debtors and Debtors in Possession

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Certificate of Service I hereby certify that on September 17, 2021, a true and correct copy of the foregoing document was served by the Electronic Case Filing System for the United States Bankruptcy Court for the Southern District of Texas. /s/ Alfredo R. Pérez Alfredo R. Pérez

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