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Full title: Certificate of No Objection Pursuant to LR 9075-2 to Stipulation Resolving Proof of Claim of Gloria McGuinty (Claim No. 1184) (related document(s)[211], [3661]) Filed by Richard B. Levin on behalf of Consumer Claims Trustee. (Attachments: # (1) Exhibit A)(Levin, Richard)

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

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In accordance with Local Rule 9075-2 and this Court’s case management procedures set forth in the Order Implementing Certain Notice and Case Management Procedures, entered on March 19, 2019 (ECF No. 211) (the “Case Management Order”), I certify: 1. The Wind Down Estates, along with the last four digits of each of their federal tax identification number, as applicable, are Ditech Holding Corporation (0486); DF Insurance Agency LLC (6918);Ditech Financial LLC (5868); Green Tree Credit LLC (5864); Green Tree Credit Solutions LLC (1565); Green Tree Insurance Agency of Nevada, Inc. (7331); Green Tree Investment Holdings III LLC (1008); Green Tree Corp. (3552); Marix Servicing LLC (6101); Walter Management Holding Company LLC (9818); and Walter Reverse Acquisition LLC (8837). Presentment of Stipulation Resolving Proof of Claim of Gloria McGuinty (Claim No. 1184)In accordance with Local Rule 9074-1, the Consumer Claims Trustee set Tuesday, August 31, 2021, at 4:00 P.M. EDT (the “Response Deadline”) as the response deadline for parties to file responses to the Notice of Presentment.

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JENNER & BLOCK LLP 919 Third Avenue New York, NY 10022 Telephone: (212) 891-1600 Facsimile: (212) 891-1699 Richard Levin rlevin@jenner.com Attorneys for the Consumer Claims Trustee UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK -------------------------------------------------------------------- X : In re : Chapter 11 : DITECH HOLDING CORPORATION, et al., : Case No. 19-10412 (JLG) : Wind Down Estates.1 : (Jointly Administered) : Related Dkt. Nos. 2542, 3631 -------------------------------------------------------------------- X CERTIFICATE OF NO OBJECTION TO STIPULATION RESOLVING PROOF OF CLAIM OF GLORIA MCGUINTY(CLAIM NO. 1184) In accordance with Local Rule 9075-2 and this Court’s case management procedures set forth in the Order Implementing Certain Notice and Case Management Procedures, entered on March 19, 2019 (ECF No. 211) (the “Case Management Order”), I certify: 1. On August 23, 2021, the Consumer Claims Trustee,2 filed the Notice of 1 The Wind Down Estates, along with the last four digits of each of their federal tax identification number, as applicable, are Ditech Holding Corporation (0486); DF Insurance Agency LLC (6918); Ditech Financial LLC (5868); Green Tree Credit LLC (5864); Green Tree Credit Solutions LLC (1565); Green Tree Insurance Agency of Nevada, Inc. (7331); Green Tree Investment Holdings III LLC (1008); Green Tree Corp. (3552); Marix Servicing LLC (6101); Walter Management Holding Company LLC (9818); and Walter Reverse Acquisition LLC (8837). The Wind Down Estates’ principal offices are located at 1100 Virginia Drive, Suite 100, Fort Washington, Pennsylvania 19034. 2 The Consumer Representative under the Third Amended Plan acts as the Consumer Trustee on behalf of the Ditech Holding Corporation Consumer Creditor Recovery Trust (the “Consumer Trust”), established pursuant to the Third Amended Plan.

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Presentment of Stipulation Resolving Proof of Claim of Gloria McGuinty (Claim No. 1184) [ECF 3631] (the “Stipulation”) and caused the Stipulation to be served as required by the Case Management Order [ECF 3661]. 2. In accordance with Local Rule 9074-1, the Consumer Claims Trustee set Tuesday, August 31, 2021, at 4:00 P.M. EDT (the “Response Deadline”) as the response deadline for parties to file responses to the Notice of Presentment. Local Rule 9075-2 permits an order to be granted without a hearing, if no objection or other responsive document has been filed before 48 hours after the response deadline and the objector or respondent complies with the relevant procedural and notice requirements. 3. The Response Deadline has passed and, to the best of my knowledge, no objection or other responsive document has been filed with the Court in these cases and served in accordance with the procedures set forth in Local Rule 9075-2 and the Case Management Order. 4. Accordingly, the Consumer Claims Trustee respectfully requests that the Proposed Order submitted with the Stipulation, a copy of which is attached to this Certificate as Exhibit A, be entered in accordance with the Local Rule 9075-2. Dated: September 30, 2021 New York, New York /s/ Richard Levin JENNER & BLOCK LLP 919 Third Avenue New York, NY 10022 Telephone: (212) 891-1600 Facsimile: (212) 891-1699 Richard Levin rlevin@jenner.com Attorneys for the Consumer Claims Trustee

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