United States Bankruptcy Court Eastern District of Michigan Southern Division
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UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF MICHIGAN SOUTHERN DIVISION ) In re: ) Case No. 21-40083 ) LOVES FURNITURE INC.1 ) d/b/a LOVES FURNITURE AND MATTRESSES, ) Chapter 11 a Delaware corporation, ) ) Debtor. ) Judge Thomas J. Tucker ) CERTIFICATE OF SERVICE I, James Nguyen-Phan, depose and say that I am employed by Stretto, the claims and noticing agent for the Debtors in the above-captioned case. On June 2, 2021, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on the service list attached hereto as Exhibit K: • Notice of Confirmation Hearing (attached hereto as Exhibit A) • Notice of Non-Voting Status – First Amended Plan of Liquidation (attached hereto as Exhibit B) Furthermore, on June 2, 2021, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on the service list attached hereto as Exhibit L: • Debtor’s First Amended Combined Plan of Liquidation and Disclosure Statement (Docket No. 439) • (Redline) Debtor’s First Amended Combined Plan of Liquidation and Disclosure Statement (Docket No. 440) • Order Granting Preliminary Approval of the Debtor’s Disclosure Statement (Docket # 439) (Docket No. 459) • Notice of Confirmation Hearing (attached hereto as Exhibit A) ____________________________________ 1 The last four digits of the Debtor’s federal tax identification number are 8667. The service address for the Debtor is 6500 E. 14 Mile Rd., Warren, MI 48092 21-40083-tjt Doc 472 Filed 06/03/21 Entered 06/03/21 11:17:10 Page 1 of 89 • Class 2 Ballot for Accepting or Rejecting Debtor’s First Amended Plan of Liquidation (attached hereto as Exhibit C) Furthermore, on June 2, 2021, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on Penske Logistics LLC at c/o Faegre Drinker Biddle & Reath, Attn: Joseph N Argentina, Jr, 222 Delaware Avenue, Wilmington, DE 19801: • Debtor’s First Amended Combined Plan of Liquidation and Disclosure Statement (Docket No. 439) • (Redline) Debtor’s First Amended Combined Plan of Liquidation and Disclosure Statement (Docket No. 440) • Order Granting Preliminary Approval of the Debtor’s Disclosure Statement (Docket # 439) (Docket No. 459) • Notice of Confirmation Hearing (attached hereto as Exhibit A) • Class 5 Ballot for Accepting or Rejecting Debtor’s First Amended Plan of Liquidation (attached hereto as Exhibit D) Furthermore, on June 2, 2021, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on TD Bank, N.A. at c/o Duane Morris LLP, Attn: Lawrence J. Kotler, Esq., 30 S. 17th Street, Philadelphia, PA 19103: • Debtor’s First Amended Combined Plan of Liquidation and Disclosure Statement (Docket No. 439) • (Redline) Debtor’s First Amended Combined Plan of Liquidation and Disclosure Statement (Docket No. 440) • Order Granting Preliminary Approval of the Debtor’s Disclosure Statement (Docket # 439) (Docket No. 459) • Notice of Confirmation Hearing (attached hereto as Exhibit A) • Class 6 Ballot for Accepting or Rejecting Debtor’s First Amended Plan of Liquidation (attached hereto as Exhibit E) [SPACE LEFT INTENTIONALLY BLANK] 21-40083-tjt Doc 472 Filed 06/03/21 Entered 06/03/21 11:17:10 Page 2 of 89 Furthermore, on June 2, 2021, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on Shift4 Payments, LLC at c/o Jaffee Raitt Heuer & Weiss, PC, Attn: Judith Greenstone Miller, 27777 Franklin Road, Suite 2500, Southfield, MI 48034: • Debtor’s First Amended Combined Plan of Liquidation and Disclosure Statement (Docket No. 439) • (Redline) Debtor’s First Amended Combined Plan of Liquidation and Disclosure Statement (Docket No. 440) • Order Granting Preliminary Approval of the Debtor’s Disclosure Statement (Docket # 439) (Docket No. 459) • Notice of Confirmation Hearing (attached hereto as Exhibit A) • Class 7 Ballot for Accepting or Rejecting Debtor’s First Amended Plan of Liquidation (attached hereto as Exhibit F) Furthermore, on June 2, 2021, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on the service list attached hereto as Exhibit M: • Debtor’s First Amended Combined Plan of Liquidation and Disclosure Statement (Docket No. 439) • (Redline) Debtor’s First Amended Combined Plan of Liquidation and Disclosure Statement (Docket No. 440) • Order Granting Preliminary Approval of the Debtor’s Disclosure Statement (Docket # 439) (Docket No. 459) • Notice of Confirmation Hearing (attached hereto as Exhibit A) • Class 9 Ballot for Accepting or Rejecting Debtor’s First Amended Plan of Liquidation (attached hereto as Exhibit G) Furthermore, on June 2, 2021, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on the service list attached hereto as Exhibit N: • Debtor’s First Amended Combined Plan of Liquidation and Disclosure Statement (Docket No. 439) • (Redline) Debtor’s First Amended Combined Plan of Liquidation and Disclosure Statement (Docket No. 440) 21-40083-tjt Doc 472 Filed 06/03/21 Entered 06/03/21 11:17:10 Page 3 of 89 • Order Granting Preliminary Approval of the Debtor’s Disclosure Statement (Docket # 439) (Docket No. 459) • Notice of Confirmation Hearing (attached hereto as Exhibit A) • Class 10 Ballot for Accepting or Rejecting Debtor’s First Amended Plan of Liquidation (attached hereto as Exhibit H) Furthermore, on June 2, 2021, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on US Assets, Inc. at 1601 Elm St Ste 4210, Dallas, TX 75201: • Debtor’s First Amended Combined Plan of Liquidation and Disclosure Statement (Docket No. 439) • (Redline) Debtor’s First Amended Combined Plan of Liquidation and Disclosure Statement (Docket No. 440) • Order Granting Preliminary Approval of the Debtor’s Disclosure Statement (Docket # 439) (Docket No. 459) • Notice of Confirmation Hearing (attached hereto as Exhibit A) • Class 11 Ballot for Accepting or Rejecting Debtor’s First Amended Plan of Liquidation (attached hereto as Exhibit I) Furthermore, on June 2, 2021, at my direction and under my supervision, employees of Stretto caused the following document to be served via first-class mail on the service list attached hereto as Exhibit O: • Notice of Confirmation Hearing (attached hereto as Exhibit A) Furthermore, on June 2, 2021, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on the service list attached hereto as Exhibit P: • Debtor’s First Amended Combined Plan of Liquidation and Disclosure Statement (Docket No. 439) • (Redline) Debtor’s First Amended Combined Plan of Liquidation and Disclosure Statement (Docket No. 440) • Order Granting Preliminary Approval of the Debtor’s Disclosure Statement (Docket # 439) (Docket No. 459) 21-40083-tjt Doc 472 Filed 06/03/21 Entered 06/03/21 11:17:10 Page 4 of 89 • Notice of Confirmation Hearing (attached hereto as Exhibit A) • Notice Party Memo (attached hereto as Exhibit J) Dated: June 3, 2021 /s/James Nguyen-Phan James Nguyen-Phan STRETTO 410 Exchange, Suite 100 Irvine, CA 92602 855.537.2346 [email protected] 21-40083-tjt Doc 472 Filed 06/03/21 Entered 06/03/21 11:17:10 Page 5 of 89 Exhibit A 21-40083-tjt Doc 472 Filed 06/03/21 Entered 06/03/21 11:17:10 Page 6 of 89 IN THE UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF MICHIGAN SOUTHERN DIVISION ) In re: ) Chapter 11 ) LOVES FURNITURE, INC.,1 ) Case No. 21-40083 ) Debtor. ) Hon. Thomas J. Tucker ) NOTICE OF CONFIRMATION HEARING PLEASE TAKE NOTICE OF THE FOLLOWING: 1. Loves Furniture, Inc, the debtor and debtor in possession in the above captioned case (“Debtor”) filed a First Amended Plan of Liquidation, dated May 25, 2021 (the Plan) in this case. 2. On May 28, 2021, the Court conditionally approved a disclosure statement with respect to the Plan (the Disclosure Statement). 3. Objections to the confirmation of the Plan must: (a) be filed by June 6, 2021, (b) be in writing, (c) state the name and address of the objecting party and the nature of the claim or interest of such party; (d) state with particularity the factual basis and/or legal nature of any objection; and (e) be filed with the Bankruptcy Court through the ECF system accessible through www.mieb.uscourts.gov, or if a paper copy is filed, with the Court at 211 W. Fort Street, Detroit, MI 48226, in compliance with the procedures set forth in the Local ECF Filing Procedures,http://www.mieb.uscourts.gov/sites/default/files/courtinfo/ECF%20Admin%20Proce dures.pdf. 4. Objections must be served on the following parties by July 6, 2021: a. Debtor’s counsel: Butzel Long, PC 1 Tax ID Number 85-0548667, located at 6500 E. 14 Mile Rd., Warren, MI 48092. 21-40083-tjt Doc 472 Filed 06/03/21 Entered 06/03/21 11:17:10 Page 7 of 89 41000 Woodward Ave. Stoneridge West Bloomfield Hills, MI 48304 Attn: Max J. Newman [email protected] b. Committee counsel: Foley & Lardner LLP 500 Woodward Ave Ste 2700 Detroit, MI 48226-3489 Attn: Ann Marie Uetz [email protected] c. The Office of the United States Trustee: The Office of the United States Trustee, Eastern District of Michigan 211 West Fort Street, Ste. 700 Detroit, MI 48226 Attn: Jill Gies [email protected] 5. The hearing on objections to final approval of the Disclosure Statement and confirmation of the First Amended Plan will be held on July 14, 2021 at 11:00 a.m.