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Exhibit(s) //Notice of Filing of Revised… — In re KServicing Wind Down Corp., et al. (f/k/a Kabbage, Inc.… (Dkt. 66)

Summary

A notice of filing of a revised proposed order, filed October 6, 2022 as Doc 66 in In re Kabbage, Inc. d/b/a KServicing, et al., Case No. 22-10951 (CTG), the jointly administered chapter 11 cases in the United States Bankruptcy Court for the District of Delaware. The notice states that on October 3, 2022 the debtors filed a motion for an order authorizing them to file and maintain consolidated creditor lists and to redact certain personal identification information for individuals, approving special electronic noticing procedures and granting related relief, with a proposed form of order attached as Exhibit A. It states that a hearing is scheduled on October 6, 2022 to consider the debtors' requests for first day relief, including that motion. The debtors file a revised proposed order as Exhibit 1 and a blackline comparison as Exhibit 2. The notice runs three pages.

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No. 22-10951 · Doc. 66 · Docket on CourtListener

Full text

                   Case 22-10951-CTG            Doc 66       Filed 10/06/22         Page 1 of 3




                             UNITED STATES BANKRUPTCY COURT
                                  DISTRICT OF DELAWARE

------------------------------------------------------------ x
In re                                                        :        Chapter 11
                                                             :
KABBAGE, INC. d/b/a KSERVICING, et al., :                             Case No. 22-10951 (CTG)
                                                             :
                                                             :
                             1
                  Debtors.                                   :        (Jointly Administered)
                                                             :
                                                             :        Ref. Docket No. 5
------------------------------------------------------------ x
            NOTICE OF FILING OF REVISED PROPOSED ORDER
       (I) AUTHORIZING THE DEBTORS TO (A) FILE AND MAINTAIN
  CONSOLIDATED CREDITOR LISTS, AND (B) REDACT CERTAIN PERSONAL
IDENTIFICATION INFORMATION FOR INDIVIDUALS, (II) APPROVING SPECIAL
ELECTRONIC NOTICING PROCEDURES, AND (III) GRANTING RELATED RELIEF
                   PLEASE TAKE NOTICE that, on October 3, 2022, Kabbage, Inc. d/b/a KServicing

and its debtor affiliates, as debtors and debtors in possession in the above-captioned chapter 11

cases (collectively, the “Debtors”), filed the Motion of Debtors for Entry of an Order (I)

Authorizing the Debtors to (A) File and Maintain Consolidated Creditor Lists, and (B) Redact

Certain Personal Identification Information for Individuals, (II) Approving Special Electronic

Noticing Procedures, and (III) Granting Related Relief [Docket No. 5] (the “Creditor Matrix

Motion”) with the United States Bankruptcy Court for the District of Delaware (the “Court”).

Attached to the Creditor Matrix Motion as Exhibit A was a proposed form of order granting the

relief sought in the Creditor Matrix Motion (the “Proposed Order”).




1
    The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification
    number, as applicable are: Kabbage, Inc. d/b/a KServicing (3937); Kabbage Canada Holdings, LLC (N/A);
    Kabbage Asset Securitization LLC (N/A); Kabbage Asset Funding 2017-A LLC (4803); Kabbage Asset Funding
    2019-A LLC (8973); and Kabbage Diameter, LLC (N/A). Kabbage is a trademark of American Express used
    under license; Kabbage, Inc. d/b/a KServicing is not affiliated with American Express. The Debtors’ mailing and
    service address is 925B Peachtree Street NE, Suite 383, Atlanta, GA 30309.


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                   Case 22-10951-CTG     Doc 66      Filed 10/06/22    Page 2 of 3




                   PLEASE TAKE FURTHER NOTICE that a hearing is scheduled on October 6,

2022 (the “Hearing”), to consider the Debtors’ requests for “first day” relief, including, among

other motions, the Creditor Matrix Motion.

                   PLEASE TAKE FURTHER NOTICE that the Debtors hereby file a revised

Proposed Order attached hereto as Exhibit 1 (the “Revised Proposed Order”) to be presented to

the Court at the Hearing. For the convenience of the Court and all parties in interest, a blackline

comparison of the Proposed Order marked against the Revised Proposed Order is attached hereto

as Exhibit 2.



                            [Remainder of page intentionally left blank]




                                                 2
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                   Case 22-10951-CTG   Doc 66    Filed 10/06/22     Page 3 of 3




Dated: October 6, 2022
       Wilmington, Delaware
                                   /s/ Matthew P. Milana
                                   RICHARDS, LAYTON & FINGER, P.A.
                                   Daniel J. DeFranceschi (No. 2732)
                                   Amanda R. Steele (No. 5530)
                                   Zachary I. Shapiro (No. 5103)
                                   Matthew P. Milana (No. 6681)
                                   One Rodney Square
                                   920 North King Street
                                   Wilmington, Delaware 19801
                                   Telephone: (302) 651-7700
                                   E-mail: defranceschi@rlf.com
                                           steele@rlf.com
                                           shapiro@rlf.com
                                           milana@rlf.com

                                   -and-

                                   WEIL, GOTSHAL & MANGES LLP
                                   Ray C. Schrock, P.C. (admitted pro hac vice)
                                   Candace M. Arthur (admitted pro hac vice)
                                   Natasha S. Hwangpo (admitted pro hac vice)
                                   Chase A. Bentley (admitted pro hac vice)
                                   767 Fifth Avenue
                                   New York, New York 10153
                                   Telephone: (212) 310-8000
                                   E-mail:       ray.schrock@weil.com
                                                 candace.arthur@weil.com
                                                 natasha.hwangpo@weil.com
                                                 chase.bentley@weil.com

                                   Proposed Attorneys for Debtors
                                   and Debtors in Possession




                                             3
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