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Full title: Amended Notice of Deposition of OHI Asset Funding (DE), LLC Pursuant to Fed. R. Civ. P. 30(b)(6) and Fed. R. Bankr. P. 7030 and of Intent to Serve a Document Subpoena (related document(s)[194]) Filed by DLF No. 3, LLC, JJT No. 1, LLC, REIT Solutions II, LLC (f/k/a REIT Solutions, Inc.), SJB No. 2, LLC, Wet One, LLC. (Maddox, Robert)

Document posted on Nov 16, 2021 in the bankruptcy, 4 pages and 0 tables.

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P. 7030 AND OF INTENT TO SERVE A DOCUMENT SUBPOENA PLEASE TAKE NOTICE THAT, pursuant to Federal Rules of Civil Procedure 26 and 30, made applicable by Rules 7026, 7030, and 9014 of the Federal Rules of Bankruptcy Procedure, and Rule 7030-1 of the Local Rules of the United States Bankruptcy Court of the District of Delaware, REIT Solutions II, LLC (f/k/a REIT Solutions, Inc.), SJB No. 2, LLC, JJT No. 1, LLC, Wet One, LLC and DLF No. 3, LLC (collectively, the “Noteholder Claimants”), shall take the deposition of OHI Asset Funding (DE), LLC and the related Omega Entities2 that entered into that certain The Omega Entities include, without limitation: Omega Healthcare Investors, Inc., CSE Pine View LLC; Dixie White Nursing Home, LLC; Ocean Springs Nursing Home, LLC; Pensacola Real-Estate Holdings I, LLC; Pensacola Real-Estate Holdings II, LLC; Pensacola Real-Estate Holdings III, LLC; Pensacola Real-Estate Holdings IV, LLC; Pensacola Real-Estate Holdings V, LLC; Skyler Boyington, LLC; Skyler Florida, LLC; Skyler Pensacola, LLC; Carnegie Gardens LLC; Greenbough, LLC; Marianna Holdings, LLC; Panama City Nursing Center LLC; Skyler Maitland LLC; Suwanee, LLC; OHI Asset (FL)Lake Placid, LLC; OHI Asset (FL) Pensacola – Hillview, LLC; OHI Asset (FL) Eustis, LLC; OHI Asset (FL) Pensacola, LLC; OHI Asset (FL) Melbourne, LLC; OHI Asset (FL) Pensacola – Nine Mile, LLC; and OHI Asset (FL)Email: stephen.humeniuk@lockelord.com Counsel to REIT Solutions II, LLC (f/k/a REIT Solutions, Inc.), SJB No. 2, LLC, JJT No. 1, LLC, Wet One, LLC and DLF No. 3, LLC 4

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: Chapter 11 GULF COAST HEALTH CARE, LLC, et al.,1 Case No. 21-11336 (KBO) Debtors. (Jointly Administered) Re: D.I. 194 AMENDED NOTICE OF DEPOSITION OF OHI ASSET FUNDING (DE), LLC PURSUANT TO FED R. CIV. P. 30(b)(6) AND FED R. BANKR. P. 7030 AND OF INTENT TO SERVE A DOCUMENT SUBPOENA PLEASE TAKE NOTICE THAT, pursuant to Federal Rules of Civil Procedure 26 and 30, made applicable by Rules 7026, 7030, and 9014 of the Federal Rules of Bankruptcy Procedure, and Rule 7030-1 of the Local Rules of the United States Bankruptcy Court of the District of Delaware, REIT Solutions II, LLC (f/k/a REIT Solutions, Inc.), SJB No. 2, LLC, JJT No. 1, LLC, Wet One, LLC and DLF No. 3, LLC (collectively, the “Noteholder Claimants”), shall take the deposition of OHI Asset Funding (DE), LLC and the related Omega Entities2 that entered into that certain Restructuring Support Agreement with the above-captioned Debtors (collectively, “Omega”) by one or more corporate witnesses designated by Omega to testify on its behalf in 1 The last four digits of Gulf Coast Health Care, LLC’s federal tax identification number are 9281. There are 62 Debtors in these chapter 11 cases, for which the Debtors have requested joint administration. A complete list of the Debtors and the last four digits of their federal tax identification numbers are not provided herein. A complete list of such information may be obtained on the website of the Debtors’ proposed claims and noticing agent at https://dm.epiq11.com/GulfCoastHealthCare. The location of Gulf Coast Health Care, LLC’s corporate headquarters and the Debtors’ service address is 40 South Palafox Place, Suite 400, Pensacola, FL 32502. 2 The Omega Entities include, without limitation: Omega Healthcare Investors, Inc., CSE Pine View LLC; Dixie White Nursing Home, LLC; Ocean Springs Nursing Home, LLC; Pensacola Real-Estate Holdings I, LLC; Pensacola Real-Estate Holdings II, LLC; Pensacola Real-Estate Holdings III, LLC; Pensacola Real-Estate Holdings IV, LLC; Pensacola Real-Estate Holdings V, LLC; Skyler Boyington, LLC; Skyler Florida, LLC; Skyler Pensacola, LLC; Carnegie Gardens LLC; Greenbough, LLC; Marianna Holdings, LLC; Panama City Nursing Center LLC; Skyler Maitland LLC; Suwanee, LLC; OHI Asset (FL) Lake Placid, LLC; OHI Asset (FL) Pensacola – Hillview, LLC; OHI Asset (FL) Eustis, LLC; OHI Asset (FL) Pensacola, LLC; OHI Asset (FL) Melbourne, LLC; OHI Asset (FL) Pensacola – Nine Mile, LLC; and OHI Asset (FL) Lake City, LLC.

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relation to Objection of the Noteholder Claimants to the Motion of Debtors for Entry of Order Approving Assumption of Restructuring Support Agreement [Dkt. No. 186] and the Objection of the Noteholder Claimants to the Motion of Debtors for Entry of Interim and Final Orders (I) Authorizing the Debtors to (A) Obtain Postpetition Financing and (B) Utilize Cash Collateral, (II) Granting Adequate Protection to Prepetition Secured Parties, (III) Modifying the Automatic Stay, (IV) Scheduling a Final Hearing, and (V) Granting Related Relief [Dkt. No. 187]. PLEASE TAKE FURTHER NOTICE THAT the deposition shall take place at a date and time to be agreed by the Noteholder Claimants and Omega. The deposition will take place before a Notary Public or other person authorized by law to administer oaths and will continue day to day until completed. The deposition will take place via videoconference. The deposition will be recorded by stenographic means, and will also be recorded by audiovisual means. The deposition will be taken for all purposes permitted by the Federal Rules of Civil Procedure, Federal Rules of Bankruptcy Procedure, and Local Rules of Bankruptcy Practice and Procedure of the United States Bankruptcy Court for the District of Delaware. The deposition is being taken for discovery, for use at any evidentiary hearing or trial, or for any purposes that are permitted by law or under the rules of this Court. PLEASE TAKE FURTHER NOTICE THAT pursuant to Rule 30(b)(6) of the Federal Rules of Civil Procedure, Omega is required to designate one or more knowledgeable persons to testify on its behalf with respect to the matters set forth in Exhibit 1 to D.I. 194. The Noteholder Claimants reserve their rights to take additional depositions of Omega and any affiliated entities, and to seek additional discovery from Omega and any other parties regarding the above-captioned cases. 2

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Dated: November 17, 2021 Wilmington, Delaware /s/ Robert C. Maddox Paul N. Heath (No. 3704) Amanda R. Steele (No. 5530) Robert C. Maddox (No. 5356) Christopher M. De Lillo (No. 6355) RICHARDS, LAYTON & FINGER, P.A. One Rodney Square 920 North King Street Wilmington, DE 19801 Tel: (302) 651-7700 Fax: (302) 651-7701 Email: heath@rlf.com steele@rlf.com maddox@rlf.com delillo@rlf.com - and - David L. Swanson LOCKE LORD, LLP 2200 Ross Avenue, Suite 2800 Dallas, Texas 75201 Telephone: (214) 740-8514 Facsimile: (214) 740-8800 Email: dswanson@lockelord.com - and - Jonathan W. Young LOCKE LORD, LLP 111 Huntington Avenue, 9th Floor Boston, Massachusetts 02199-7613 Telephone: (617) 239-0367 Facsimile: (855) 595-1190 Email: jonathan.young@lockelord.com 3

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- and - Stephen J. Humeniuk LOCKE LORD, LLP 600 Congress Avenue, Suite 2200 Austin, Texas 78701 Telephone: (512) 305-4838 Facsimile: (512) 391-4708 Email: stephen.humeniuk@lockelord.com Counsel to REIT Solutions II, LLC (f/k/a REIT Solutions, Inc.), SJB No. 2, LLC, JJT No. 1, LLC, Wet One, LLC and DLF No. 3, LLC 4

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