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20-10161-jlg Doc 816 Filed 10/12/20 Entered 10/12/20 16:19:51 Main Document Pg 1 of 4

UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK

In re: Chapter 11

OLD MARKET GROUP HOLDINGS CORP., et al., Case No. 20-10161 (JLG)

Debtors. 1 (Jointly Administered)

AFFIDAVIT OF SERVICE OF PUBLICATION

PLEASE TAKE NOTICE that the undersigned certifies that the following document

Notice of (I) Entry of Order Confirming Joint Chapter 11 Plan of Old Market Group Holdings Corp. and (II) Administrative Expense Claims Bar Date [Docket No. 811]

was published in the following publication on the date provided.

Publication Date Exhibit The New York Times October 12, 2020 A

/s/ Darleen Sahagun____ Darleen Sahagun Omni Agent Solutions 5955 DeSoto Avenue, Suite 100 Woodland Hills, California 91367 (818) 906-8300 Claims, Noticing, and Administrative Agent for the Debtor

1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification number, are as follows: Old Market Group Holdings Corp. (2788); Old Market Group Acquisition Company (2860); Old Market Bakery LLC (4129); Old Market Broadway LLC (8591); Old Market Chelsea LLC (0288); Old Market Construction Group, LLC (2741); Old Market Douglaston LLC (2650); Old Market East 86th Street LLC (3822); Old Market eCommerce LLC (3081); Old Market Georgetowne LLC (9609); Old Market Greenwich Street LLC (6422); Old Market Group Central Services LLC (7843); Old Market Group Plainview LLC (8643); Old Market Hudson Yards LLC (9331); Old Market Kips Bay LLC (0791); Old Market Store LLC (9240); Old Market Paramus LLC (3338); Old Market Pelham LLC (3119); Old Market Pelham Wines & Spirits LLC (3141); Old Market Red Hook LLC (8813); Old Market Stamford LLC (0738); Old Market Stamford Wines & Spirits LLC (3021); Old Market Staten Island LLC (1732); Old Market Uptown LLC (8719); Old Market Westbury LLC (6240); and Old Market Woodland Park LLC (9544). The location of the Debtors’ corporate headquarters is 2284 12th Avenue, New York, New York 10027. Old Market Community Foundation Inc., a charitable organization, owned by Old Market Group Holdings Corp., is not a debtor in these proceedings. 20-10161-jlg Doc 816 Filed 10/12/20 Entered 10/12/20 16:19:51 Main Document Pg 2 of 4

EXHIBIT A

20-10161-jlg Doc 816 Filed 10/12/20 Entered 10/12/20 16:19:51 Main Document Pg 3 of 4

PROOF OF PUBLICATION

______Oct-12, 20___20

I, Edgar Noblesala, in my capacity as a Principal Clerk of the Publisher of a daily newspaper of general circulation printed and published in the City, County and State of New York, hereby certify that the advertisement annexed hereto was published in the editions of

on the following date or dates, to wit on

Oct 12, 2020, NYT & Natl, pg B3

______

Sworn before me the 12th day of Oct,

2020.

______

Notary Public 20-10161-jlg Doc 816 Filed 10/12/20 Entered 10/12/20 16:19:51 Main Document C M Y K Nxxx,2020-10-12,B,003,Bs-BW,E1Pg 4 of 4

THE NEW YORK TIMES, MONDAY, OCTOBER 12, 2020 N B3

TECHNOLOGY False Rumors Often Start at the Top As words are twisted into online weapons, those from powerful people matter even more.

Second, I am going to say something Shira Ovide nice about . With the compa- ON TECH ny’s ban on groups or pages that iden- tify with the QAnon conspiracy an- nounced this week and its gradually We know that false information spreads broadening crackdown on attempted online like the world’s worst game of voter intimidation and premature dec- telephone. larations of election victory, Facebook But we don’t talk enough about the is showing courage in its convictions. role of people in charge who say too This is different. Too often the com- little or the wrong things at important pany myopically fixates on technical moments, creating conditions for misin- rules, not principles, and caves to its formation to flourish. self-interest. Think about the recent rumors and Facebook is taking a different tack in outrage that flew around President part because it doesn’t want to be Trump’s health, the wildfires in Oregon blamed — as the company was four and the message of a Netflix film. Ill- years ago — if there is confusion or considered communication from those chaos around the election. I love that at the top — including the president Facebook is a little bit afraid. himself — made cycles of bogus infor- It’s healthy for the company to ask mation and misplaced anger even itself: What if things go wrong? That’s worse. something Facebook has often failed to Every word that powerful people say do with disastrous consequences. matters. It may not be fair, but they must now anticipate how their words Before we go . . . might be twisted — intentionally or not — into weapons in the online informa- ■ We are all conspiracists now: Mr. tion war. Roose writes that conspiracy theories For one example, look at Oregon, are a symptom of the broader erosion where a tweet and other poorly commu- of authority in the internet age. “How nicated information from the police easily the conspiracist’s creed — that contributed to bogus rumors that left- the official narrative is always a lie, and wing activists deliberately started that the truth is out there for those wildfires. willing to dig for it themselves — has BRENNA MURPHY “We ask you to demonstrate peace- penetrated our national psyche,” he writes. fully and without the use of fire,” the including an image of tween girls pos- tion from the beginning can be hard to which officials might still be counting police in Portland posted. There was no ing in dance clothes, gave the false overcome. votes in the presidential election and ■ LinkedIn contains multitudes: Dur- evidence that protesters were setting impression that the movie sexualized Conspiracy theories about President other contests. ing the pandemic and protests against fires, but people seized on this and children. Trump’s coronavirus diagnosis and I want to make two points. First, racial injustice, the typically blah work- other odd or ambiguous official infor- In short, Netflix’s communication health condition in the last week were Facebook’s ads blackout might be place has become a mation as evidence that left-wing projected the idea that its own movie fueled by people close to the president smart or it might be ineffectual, but it is thriving outlet for Black professionals provocateurs at the Portland protests was the opposite of what it really was. misspeaking or obfuscating what was definitely small fish. to express both fun stuff and grief were responsible for wildfires. Some politicians, parents and a Texas happening. And the White House’s Look at your Facebook feed. A lot of about racial discrimination and alien- Local officials, including the Cham- prosecutor called the film child pornog- history of spreading false information the overheated and manipulative ation on the job, Ashanti M. Martin ber of Commerce in Sioux Falls, S.D., raphy and pushed Netflix to ban it. contributed to a lack of trust in the garbage you see did not pay to be there. wrote for The Times. Some LinkedIn also spread false rumors over the sum- Outcry about the movie has been ampli- official line. (My colleague Kevin Roose Those posts are there because they users said the company didn’t know mer that left-wing protesters were fied by supporters of the QAnon con- also wrote about this fueling wild spec- make people angry or happy, and Face- how to handle it. headed to their town to start trouble. spiracy theory, the false idea that top ulation about the president’s health.) book’s computer systems circulate the None of this was true, but truth does- Democrats and celebrities are behind a Nature abhors a vacuum, and the stuff that generates an emotional reac- ■ Raining cash on internet video stars: n’t matter in internet information soup. global child-trafficking ring. internet turns a vacuum into conspira- tion. A small app called is trying to Wrong or ill-considered official state- I want to be clear: There are always cies. All of us have a role to play in not Yes, it’s extra galling if Facebook steal stars from TikTok by paying them ments can confirm what people already people who twist information to their contributing to misinformation, but makes money directly from lies and for just about anything, including a suspected. own ends. People might have misplaced experts and people in positions of manipulations. That’s a big reason helicopter for a video shoot and a The same thing happened when blame for the wildfires or dumbed power shoulder even more responsibil- some civil rights groups and company leased Rolls-Royce with a “TRILLER” Netflix unleashed a clueless marketing down the complexities of “Cuties” even ity for not creating the conditions for employees have called on internet vanity plate, my colleague Taylor Lo- campaign to promote a film called if official communications had been bogus information to go wild. companies to take a hard line against renz writes. My question: How long can “Cuties.” My colleague described the perfectly clear from the jump. But by political ads or to ban them. But I sus- Triller keep spending like this? movie as a nuanced exploration of not choosing their words and images Facebook is afraid. That’s good. pect that most of the stuff that might gender and race and how society dan- carefully, the people in charge provided Facebook is expanding a blackout rile people up if votes are still being This essay was adapted from the On Tech gerously blurs the lines between girl fuel for misinformation. period for political and issue-related counted after Election Day will be newsletter, which gets delivered every empowerment and sexual exploitation. We see over and over again that ads in the United States for days or unpaid posts, including from President weekday. To sign up, go to nytimes.com/ But Netflix’s promotional materials, unclear, wrong or not enough informa- longer after Election Day — a period in Trump — not ads. newsletters Pakistan Bans TikTok, Citing Morals, but Some Say Politics Plays a Part

By SALMAN MASOOD economy have taken a hit. Politi- marketing agency based in Kara- followers in a short time. ISLAMABAD, PAKISTAN — Pakistan cal observers said that must ran- chi. “These trends seem to have Government officials said the has become the latest country to kle Mr. Khan and his party, Paki- combined to cause a tipping point real issue was videos that they ban TikTok, the Chinese-owned stan Tehreek-e-Insaf, or P.T.I. in public opinion that got picked said sexualized underage girls. social media platform, in a move The Pakistan Telecommunica- up by TikTok algorithms.” “Had there been any political that government critics said tion Authority “has blocked Tik- Since May, videos critical of the relevance of TikTok in Pakistan, stemmed as much from politics as Tok not because of immoral con- government started showing up there would have been a number from allegations of immoral con- tent but because TikTokers are on TikTok’s main feed, Habibullah of serious political commentators tent. poking fun of the Great Leader,” Khan said. on the platform, influencing politi- The Pakistan Telecommunica- Najam Sethi, one of the country’s The prime minister has blamed cal discussions,” said Arslan tion Authority said in a statement most prominent journalists, said past leaders for Pakistan’s eco- Khalid, the prime minister’s point on Friday that it was banning Tik- in a post, making an indi- nomic troubles and has implored person on digital media. Tok “in view of a number of com- rect reference to Mr. Khan. the public to endure the tough “The claim that TikTok was plaints from different segments of Many analysts and journalists times and wait for a better future. banned due to political criticism is the society against immoral/inde- say that the ban served a dual pur- “You don’t have to panic,” Mr. just frivolous,” he added. cent content.” It said it had al- pose: mollifying conservatives Khan said during one speech. Habibullah Khan said that Tik- ready informed the company and curbing criticism of Mr. In one TikTok video that was Tok videos had nevertheless un- Khan’s handling of the economy, shared widely a few months ago, dermined the majority party’s about complaints about its con- AP PHOTO/FAREED KHAN tent, but TikTok’s administrators rising inflation and tough stance two users mocked Mr. Khan by standing in Punjab, the country’s Using TikTok in Karachi, Pakistan. The Chinese-owned social app has about toward political rivals. saying that the time to panic had most populous and prosperous did not address their concerns. 20 million active monthly users in the country, the government says. The regulator said it was open “After the Covid-19 lockdown, finally arrived. province, which determines the to talks with the company “subject Pakistanis going on TikTok dou- Supporters of the opposition po- political fortunes of any political to a satisfactory mechanism by cused TikTok of testing accept- though a local media report said bled to over 20 million active users litical party Pakistan Muslim party in Pakistan. TikTok to moderate unlawful con- able social norms. They deemed she believed the ban should be while economic hardship related League-Nawaz also started using “It’s hard to not conclude that tent.” memes and song adaptations as lifted. She did not respond to a re- to livelihood loss and inflation hit the app to criticize the govern- the explosive growth,” he said, ByteDance, the Chinese com- too suggestive and too risqué. quest for comment. the lower-middle and working ment. One such user, Saud Butt, a “and virality of such videos were class hard,” said Habibullah Khan, supporter of the ousted prime at least one reason behind the pany that owns TikTok, said that it Many people saw the content as “Vulgar content exists on all the founder of Penumbra, a digital minister Nawaz Sharif, 1.2 million ban.” was committed to following the lowbrow and vulgar. There were platforms, but I would argue that law and that it was in regular con- also growing complaints of under- the ratio might be slightly higher tact with Pakistani regulators. age delinquent behavior and dis- on TikTok,” said Saif Ali, digital ac- UNITED STATES BANKRUPTCY COURT proof of claim in respect of such amended scheduled Prepetition Claim or copy,orelectronicmeansotherthantheCaseWebsitewillnotbeaccepted. “We are hopeful to reach a conclu- play of illegal weapons. count director at Empact Middle SOUTHERN DISTRICT OF NEW YORK addedclaimasthelaterof(a)GeneralBarDateand(b)thirtydaysafterthe Please note that, due to COVID-19 safety considerations, the hours In re: Chapter 11 date that notice of the amendment is served on the affected claimant (the of operation at the above-listed claims processing centers are subject sion that helps us serve the coun- Prime Minister Imran Khan — East, a marketing firm. “The LATAM Airlines Group S.A., et al ., Case No.:20-11254 “AmendedScheduleBarDate”). to change.For questions regarding hours of operations,as well as further try’s vibrant and creative commu- a former cricket star once famous whole platform is song and dance, Debtors. 1 Jointly Administered (d) Governmental Bar Date : Pursuant to the Bar Date Order, all detailsonwhoiseligibletofileaclaimorhowtofileaclaim,callthetollfree NOTICE OF DEADLINES FOR FILING OF PROOFS OF CLAIM governmental units,as defined in section 101(27) of the Bankruptcy Code, information line at (877) 606-3609 (U.S.);(800) 914 246 (Chile);0800 591 nity online,” it said in a statement. for his flamboyant lifestyle who so it was always going to ruffle must file claims against the Debtors that arose prior to the Petition Date, 1542 (Brazil);01-800-5189225 (Colombia);(0800) 78528 (Peru);1800 001 ((GENERAL CLAIMS BAR DATE: DECEMBER 18,2020 regardlessofthevarianceinthelengthoftimefromtherespectivePetition 130(Ecuador);0800-345-4865(Argentina). TikTok, with its lip-syncing has become increasingly conser- feathers with conservatives.” AT 4:00 PM (ET))) Dates for each Debtor,by January 5, 2021 at 4:00 p.m., Eastern Time 4. CLAIMS FOR WHICH PROOFS OF CLAIM NEED NOT BE FILED. teenagers and meme-heavy vid- PLEASETAKENOTICETHATANYENTITYTHATFILESAPROOFOF (the“GovernmentalBarDate”). The Bar Date Order further provides that certain entities, whose claims vative since entering politics — At the same time, critics see CLAIM IN THESE CHAPTER 11 CASES SHALL BE DEEMED, FOR THE 2. WHATTOFILE. Yourfiledproofofclaimmustconformsubstantially otherwise would be subject to the General Bar Date, need not file proofs eos, has drawn criticism from gov- criticized TikTok as promoting politics at work. PURPOSESOFTHEPROOFOFCLAIMANDPOSSIBLYRELATEDMAT- toOfficialFormNo.410orthecase-specificproofofclaimformprovidedby of claim. To review a copy of the Bar Date Order,please visit https://cases. ernments around the world, for TERS,TO HAVE SUBMITTED TO THE JURISDICTION OF THE UNITED theDebtors. Additionalproofofclaimformsmaybeobtainedfreeofcharge primeclerk.com/LATAM. “obscenity and vulgarity.” Political content has mush- STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF at the following websites: www.uscourts.gov/forms/bankruptcy-forms or 5. CONSEQUENCES OF FAILURE TO FILE A PROOF OF CLAIM BY varying reasons. NEW YORK. ANY ENTITY WHO IS REQUIRED TO TIMELY FILE A https://cases.primeclerk.com/LATAM. THE BAR DATE. ANY ENTITYWHO IS REQUIREDTOTIMELYFILE A PROOF OF Ms. Mirza herself has called for roomed on TikTok in recent PROOF OF CLAIM AS SET FORTH IN THIS NOTICE BUT FAILS TO DO Each proof of claim must (i) be signed by the claimant or by an autho- CLAIM AS SET FORTH INTHIS NOTICE BUT FAILSTO DO SOWILL BE (A) FOR- The Trump administration has regulating TikTok content and ini- months as the coronavirus has SO WILL BE (A) FOREVER BARRED, ESTOPPED AND ENJOINED rized agent of the claimant and (ii) include copies of any writings upon EVER BARRED, ESTOPPED AND ENJOINED FROM ASSERTING SUCH CLAIM attempted to block the app, so far FROM ASSERTING SUCH CLAIM AGAINST ANY OF THE DEBTORS which the asserted claim is based. If such writings exceed one-hundred AGAINST ANY OFTHE DEBTORS AND (B) FOREVER BARRED FROMVOTINGTO tially expressed support for a ban, spread and the national and global AND (B) FOREVER BARRED FROM VOTING TO ACCEPT OR REJECT pages, or upon written consent of the Debtors, you may provide written ACCEPT OR REJECT ANY PLAN OR PLANS OR PARTICIPATING IN ANY DISTRI- unsuccessfully, citing privacy con- ANY PLANOR PLANS ORPARTICIPATING INANY DISTRIBUTION IN summaries of, or otherwise identify, such writings in lieu of the writings BUTIONINTHEDEBTORS’CHAPTER11CASESONACCOUNTOFSUCHCLAIMS. THEDEBTORS’CHAPTER11CASESONACCOUNTOFSUCHCLAIMS. themselves in an addendum to the proof of claim form. If such writings 6. THE DEBTORS’ SCHEDULES AND ACCESS THERETO. You may cerns and the app’s Chinese own- On September 24, 2020, the United States Bankruptcy Court for the contain confidential information, you may provide, attached to the proof be listed as the holder of a claim against one or more of the Debtors in the ership, allegations that UNITED STATES BANKRUPTCY COURT AdministrativeClaimForm(i)electronicallyusingtheinterfaceavailable SouthernDistrictofNewYorkenteredanOrder(ECFNo.1106)(the“BarDate of claim form,redacted versions or written summaries of such writings. As Debtors’Schedules of Assets and Liabilities and/or Schedules of Executory SOUTHERN DISTRICT OF NEW YORK on the website of the Debtors’ claims and noticing agent, Omni Agent Order”) in the above-captioned jointly-administered chapter 11 Cases of more fully detailed in the Bar Date Order, the Debtors reserve their rights ContractsandUnexpiredLeases(collectively,the“Schedules”). ByteDance has disputed. India In re OLD MARKET GROUP : Chapter 11 Solutions (“ Omni ”) at http://omniagentsolutions.com/Fairway (the LATAM Airlines Group S.A.and certain of its affiliated debtors and debtors- and defenses to reasonably request any writings not otherwise provided Copies of the Debtors’ Schedules are available for inspection on the et al. : “ Electronic Filing System ”) by following the instructions provided; in-possession (collectively, the “Debtors”), establishing December 18, withtheproofofclaimform. Court’s website at http://www.nysb.uscourts.gov. A login and password has banned the service along with HOLDINGS CORP., , Case No.20-10161 (JLG) 2020 at 4:00 p.m.,EasternTime (the“GeneralBar Date”) as the general Debtors. 1 : Jointly Administered or (ii) by mailing the original Administrative Claim Form to Omni at In addition to the requirements set forth in the immediately preced- to the Court’s Public Access to Electronic Court Records (“PACER”) are other Chinese-owned apps amid the following address: Omni : Fairway Group Holdings Corp., Claims deadline for each entity (including individuals,partnerships,corporations, ing paragraph, any proof of claim asserting a 503(b)(9) Claim must also requiredtoaccessthisinformationandcanbeobtainedthroughthePACER NOTICE OF (I) ENTRY OF ORDER CONFIRMING ProcessingCenter,c/oOmniAgentSolutions,5955DeSotoAvenue,Suite jointventures,trustsandgovernmentalunits)tofileaproofofclaimagainst include,with specificity: (i) the amount of the 503(b)(9) Claim;(ii) the par- Service Center at http://www.pacer.gov. Copies of the Debtors’Schedules rising tensions between New JOINT CHAPTER 11 PLAN OF OLD MARKET GROUP 100,WoodlandHills,CA91367. anyoftheDebtors. ticular Debtor against which the 503(b)(9) Claim is asserted;(iii) the date are also available at the Case Website at https://cases.primeclerk.com/ Delhi and Beijing. HOLDINGS CORP.AND (II) ADMINISTRATIVE 7. The Plan and Confirmation Order may be viewed for free at The General Bar Date,the other deadlines established by the Bar Date of delivery of the goods purportedly delivered to a Debtor within twenty LATAM.Copies of the Debtors’Schedules may also be obtained by written EXPENSE CLAIMS BAR DATE www.omniagentsolutions.com/fairway or for a fee on the Bankruptcy Order and the procedures set forth below for filing proofs of claim apply days before the Petition Date; (iv) documentation, including invoices, requesttotheDebtors’ClaimAgentatthefollowingaddress: LATAMClaims TikTok has also faced occa- PLEASETAKENOTICETHAT: Court’swebsiteathttp://nysb.uscourts.gov. to all claims against the Debtors that arose prior to the date on which each receipts, bills of lading, and the like, identifying with specificity the par- Processing Center,c/o Prime Clerk LLC,Grand Central Station,PO Box 4850, 1. On September 24,2020,Old Market Group Holdings Corp.(f/k/a Debtor commenced cases under chapter 11 ofTitle 11 of the United States Dated:October7,2020,NewYork,NewYork ticular goods for which the 503(b)(9) Claim is being asserted;(v) an iden- NewYork,NY10163-4850. sional bans in places like Indone- Fairway Group Holdings Corp.) and its debtor affiliates, as debtors Code (the “Bankrupt cy Code”), except for claims described in paragraph tificationof whichgoods (if any) were subject to ademandfor reclamation If you rely on the Debtors’Schedules, it is your responsibility to deter- sia and Bangladesh over issues of and debtors in possession in the above captioned chapter 11 cases /s/ Sunny Singh ,WEIL,GOTSHAL & MANGES LLP,767 Fifth Avenue,New 4 of the Bar Date Order as being excluded. Governmental units have until asserted under section 546 of the Bankruptcy Code,and,if applicable,the minethattheclaimisaccuratelylistedintheSchedules. (collectively,the“ Debtors ”)filedthe JointChapter11PlanofOldMarket York,NewYork 10153,Telephone:(212) 310-8000,Facsimile:(212) 310- January5,2021 at4:00 p.m.,EasternTime tofileproofsofclaims(the date of any such reclamation demand timely submitted pursuant to the The Debtors reserve the right to (a) dispute, or to assert offsets or public decency, as well as pres- Group Holdings Corp. and Its Affiliated Debtors (ECF No. 767) (together 8007,RayC.Schrock,P.C.,SunnySingh, AttorneysforDebtorsandDebtors “GovernmentalBarDate”). Order Establishing and Implementing Exclusive and Global Procedures for defenses against, any filed claim or any claim listed or reflected in the sure in the United States and else- withtheplansupplement,allschedules,andexhibitsthereto,andasmay inPossession 1. WHO MUST FILE A PROOF OF CLAIM. You MUST file a proof of Treatment of Reclamation Claims (ECF No. 65); and (vi) documentation or Schedulesastonature,amount,liability,priority,classificationorotherwise; bemodified,amended,orsupplementedfromtimetotime,the“ Plan ”). 2 1 The Debtors in these chapter 11 cases, along with the last four claim to vote on a chapter 11 plan filed by the Debtors or to share in distri- other evidence that the goods with respect to which the 503(b)(9) Claim is (b) subsequently designate any scheduled claim as disputed, contingent, where over privacy and content 2. On October 5, 2020, the Court entered the Order Confirming digits of each Debtor’s federal tax identification number,are as follows: butions from the Debtors’bankruptcy estates if you have a claim that arose beingfiledweresoldintheordinarycourseoftheDebtor’sbusiness. or unliquidated; and (c) otherwise amend or supplement the Schedules. JointChapter11PlanofOldMarketGroupHoldingsCorp.andItsAffiliated Old Market Group Holdings Corp.(2788); Old Market Group Acquisition prior to May 26, 2020, July 7, 2020 or July 9, 2020 (as applicable to Your proof of claim form must not contain complete social Nothing contained in this Notice shall preclude the Debtors from objecting given its base of young users. Debtors (ECFNo.806)(the“ ConfirmationOrder ”). Company (2860); Old Market Bakery LLC (4129); Old Market Broadway each Debtor,the“Petition Date”and any such claim,a“Prepetition Claim”), security numbers or taxpayer identification numbers (only the toanyclaim,whetherscheduledorfiled,onanygrounds. On its face, Pakistan’s objec- 3. Pursuant to the terms of the Confirmation Order, the Debtors LLC (8591); Old Market Chelsea LLC (0288); Old Market Construction and it is not one of the types of claim described in paragraph 4 of the Bar last four digits), a complete birth date (only the year), the name A holder of a possible claim against the Debtors should consult herebyprovidenoticeofentryoftheConfirmationOrder. Group, LLC (2741); Old Market Douglaston LLC (2650); Old Market East Date Order. Claims based on acts or omissions of the Debtors that occurred ofaminor(onlytheminor’sinitials)orafinancialaccountnumber anattorneyregardinganymattersnotcoveredbythisnotice,such tions to TikTok center on the po- 4. Pursuant to Section 8.3 of the Plan and paragraph 16 of the 86th Street LLC (3822); Old Market eCommerce LLC (3081); Old Market before the Petition Date must be filed on or prior to the General Bar Date (onlythelastfourdigitsofsuchfinancialaccount). aswhethertheholdershouldfileaproofofclaim. tential impact to society. Like us- Confirmation Order, the deadline to file a proof of claim for damages Georgetowne LLC (9609); Old Market Greenwich Street LLC (6422); Old (or,if applicable,one of the other deadlines described below),even if such All entities asserting claims against more than one Debtor are required Dated: September 24,2020 BY ORDER OF THE COURT following the rejection of an executory contract or unexpired lease Market Group Central Services LLC (7843); Old Market Group Plainview claims are not now fixed,liquidated or certain or didnot mature or become to (i) file a separate proof of claim with respect to each such Debtor and (ii) NewYork,NewYork ers elsewhere, TikTok fans in Pa- under the Plan is November 6, 2020 at 5:00 p.m. (Eastern Time) . fixed,liquidatedorcertainbeforethePetitionDate. identify on each proof of claim the particular Debtor against which their LLC(8643);OldMarketHudsonYardsLLC(9331);OldMarketKipsBayLLC TheBarDateOrderestablishesthefollowingbardatesforfilingproofsof 1 The Debtors in these Chapter 11 Cases,along with the last four digits of FAILURE TO FILE AND SERVE SUCH PROOF OF CLAIM TIMELY AND (0791); Old Market Store LLC (9240); Old Market Paramus LLC (3338); claim is asserted. Any claim that fails to identify a Debtor shall be deemed kistan — about 20 million active 3 claimintheseChapter11Cases(collectively,the“BarDates”): eachDebtor’staxidentificationnumber(asapplicable),are: LATAMAirlines PROPERLY IN ACCORDANCE WITH THE BAR DATE ORDER SHALL RESULT Old Market Pelham LLC (3119); Old Market Pelham Wines & Spirits as filed only against LATAM Airlines Group S.A. If more than one Debtor is IN SUCH CLAIM BEING FOREVER BARRED AND DISCHARGED.IF,FOR ANY (a) General Bar Date: Pursuant to the Bar Date Order and except as listedontheform,theproofofclaimwillbetreatedasfiledonlyagainstthe Group S.A. (59-2605885); Lan Cargo S.A. (98-0058786);Transporte Aéreo monthly users, according to the LLC (3141); Old Market Red Hook LLC (8813); Old Market Stamford LLC otherwise described in this Notice, all entities that hold a claim against S.A. (96-9512807); Inversiones Lan S.A. (96-5758100); Technical Training REASON, ANY SUCH CLAIM IS INCAPABLE OF BEING FOREVER BARRED (0738); Old Market Stamford Wines & Spirits LLC (3021); Old Market first-listedDebtor. government, citing the company’s ANDDISALLOWED,THENTHEHOLDEROFSUCHCLAIMSHALLINNOEVENT any of the Debtors that arose prior to the Petition Date (whether secured, 3. WHEN AND WHERE TO FILE. Except as provided for herein, LATAM S.A.(96-847880K);LATAMTravel Chile II S.A.(76-2628945);Lan Pax Staten Island LLC (1732); Old Market Uptown LLC (8719); Old Market unsecured priority, or unsecured nonpriority) shall file a proof of claim as Group S.A.(96-9696800); Fast Air Almacenes de Carga S.A.(96-6315202); HAVE RECOURSE TO ANY PROPERTY TO BE DISTRIBUTED PURSUANT TO Westbury LLC (6240); and Old Market Woodland Park LLC (9544). The all proofs of claim must be filed so as to be received on or before the figures — make videos ranging described in this Notice by December 18, 2020 at 4:00 p.m., Eastern applicable Bar Date: IF ELECTRONICALLY: The website established Línea Aérea Carguera de Colombia S.A. (26-4065780); Aerovías de THEPLAN. location of the Debtors’ corporate headquarters is 2284 12th Avenue, Time . For the avoidance of doubt and without limitation,the General Bar Integración Regional S.A.(98-0640393);LATAM Finance Ltd.(N/A);LATAM- from do-it-yourself dance num- 5. Pursuant to Article II of the Plan and paragraph 13 of the New York, New York 10027. Old Market Community Foundation Inc., a by the Debtors’claims and noticing agent,Prime Clerk LLC (“Prime Clerk”) Date applies to claims asserted against the Debtors pursuant to section for these Chapter 11 Cases (the “Case Website”) located at https://cases. Airlines Ecuador S.A. (98-0383677); Professional Airline Cargo Services, bers to monologues about society, Confirmation Order, the Administrative Expense Claims Bar Date is charitable organization, owned by Old Market Group Holdings Corp., is 503(b)(9)oftheBankruptcyCode(a“503(b)(9)Claim”). LLC (35-2639894); Cargo Handling Airport Services, LLC (30-1133972); November 11, 2020 at 5:00 p.m. (Eastern Time) . HOLDERS OF notadebtorintheseproceedings. primeclerk.com/LATAM by following instructions for filing proofs of claim (b) Rejection Claims Bar Date : Pursuant to the Bar Date Order, electronically; IFBYMAIL: LATAMClaimsProcessingCenter,c/oPrimeClerk Maintenance Service Experts,LLC (30-1130248); Lan Cargo Repair Station politics and daily life. Influencers ADMINISTRATIVE EXPENSE CLAIMSTHAT ARE REQUIREDTO,BUT DO NOT, 2 Capitalized terms used but not otherwise defined herein shall all entities that hold a claim against any of the Debtors arising out of the LLC,Grand Central Station,PO Box 4850,New York,NY 10163-4850; IF BY LLC (83-0460010); Prime Airport Services Inc. (59-1934486); Professional FILE AND SERVE A REQUEST FOR PAYMENT OF SUCH ADMINISTRATIVE have the meanings ascribed to such terms in the Plan or the Disclosure rejection of executory contracts or unexpired leases shall file a proof of AirlineMaintenanceServicesLLC(37-1910216);ConnectaCorporation(20- also make money on the side. Tik- EXPENSE CLAIMS BY THAT DATE SHALL BE FOREVER BARRED,ESTOPPED, MAIL OR DELIVERY BY HAND, COURIER, OR OVERNIGHT SERVICE: (i) Statement For Joint Chapter 11 Plan of Fairway Group Holdings Corp.and claim by the later of (i) the General Bar Date; (ii) any date this Court has LATAMAirlinesGroupS.A.ClaimsProcessingCenter,c/oPrimeClerkLLC,850 5157324);Peuco Finance Ltd.(N/A);Latam Airlines Perú S.A.(52-2195500); Tok’s most popular star in Paki- AND ENJOINED FROM ASSERTING SUCH ADMINISTRATIVE EXPENSE ItsAffiliatedDebtors (ECFNo.679). fixed or may fix in the applicable order authorizing such rejection or (iii) InversionesAéreasS.A.(N/A);HoldcoColombiaIISpA(76-9310053);Holdco CLAIMS AGAINST THE DEBTORS OR THEIR PROPERTY, AND SUCH Third Avenue,Suite 412,Brooklyn,NY 11232;(ii) LATAM Airlines Group S.A. 3 “ Bar Date Order ”means the Order Establishing Deadline for Filing the date otherwise stipulated between the Debtors and the contract or Claims Processing Center,c/o Prime Clerk LLC,One Grand Central Place,60 ColombiaISpA(76-9336885);HoldcoEcuadorS.A.(76-3884082);LanCargo stan, Jannat Mirza, has accumu- ADMINISTRATIVE CLAIMS SHALL BE DEEMED DISCHARGED AS OF THE lease counterparty (the“Rejec tion Bar Date”); provided , however ,that if an Inversiones S.A. (96-9696908); Lan Cargo Overseas Ltd. (85-7752959); EFFECTIVEDATE. 4 Proofs of Claim and Procedures RelatingThereto and Approving Form and East42ndStreet,Suite1440,NewYork,NY10165;(iii)LATAMAirlinesClaims lated 10 million followers with of- MannerofNoticeThereof (DocketNo.204,411). executory contract or unexpired lease has been rejected pursuant to the ProcessingCenter,c/oDuff&Phelps,Attn:PrimeClerkLLC,Calle67No.7-35, Mas Investment Ltd.(85-7753009); Professional Airlines Services Inc.(65- 6. The administrative claim form (the “ Administrative Claim Rejection Procedures Order,the Rejection Bar Date shall be thirty-five days 0623014);PiqueroLeasingLimited(N/A);TAMS.A.(N/A);TAMLinhasAéreas ten soapy videos mostly about Form ”) can be located at www.omniagentsolutions.com/fairway. 4 Torre C Piso 6, Bogotá, Colombia; (iv) LATAM Airlines Claims Processing For the avoidance of doubt,the following holders of certain Claims fromtheapplicableRejectionDateifnoobjectionisfiledor,ifanobjectionis Center, c/o Duff & Phelps, Attn: Prime Clerk LLC, Tower Bridge, Avenida S.A. (65-0773334); Aerolinhas Brasileiras S.A. (98-0177579); Prismah The Administrative Claim Form must be filed so as to be RECEIVED at arenotsubjecttotheAdministrativeExpenseClaimsBarDate:(i)holders timelyfiled,thirtydaysfromtheapplicableCourtorder. Fidelidade Ltda.(N/A);FidelidadeViagens e Turismo S.A.(27-2563952);TP young romance. the address listed below or via the Electronic Filing System (defined JornalistaRobertoMarinho,85,5thfloor,SaoPaulo04576-010Brazil. of Fee Claims pursuant to Section 2.2 of the Plan, and (ii) holders of (c) Amended Schedule Bar Date : Pursuant to the Bar Date Order, Aproofofclaimshallbetimelyfiledonlyif actuallysubmitted totheCase FranchisingLtda.(N/A);HoldcoIS.A.(76-1530348)andMultiplusCorredora But conservative Muslims in below) on or before the Administrative Expense Claims Bar Date 503(b)(9) Claims, as such claims were subject to the General Bar Date if any of the Debtors amends or supplements its Schedules, the affected Websiteoris actuallyreceived byatanyoftheaboveaddressesonorbefore de Seguros Ltda. (N/A). For the purpose of these Chapter 11 Cases, the Pakistan have increasingly ac- (November11,2020 at5:00p.m.(EasternTime)) . Youcanfileyour thatexpiredonApril6,2020(ECFNos.204,411). claimant is required to file a proof of claim or to amend any previously filed theapplicableBarDate. Proofofclaimformssentbye-mail,facsimile,tele- serviceaddressfortheDebtorsis:6500NW22ndStreetMiami,FL33131.