Pandemic Darlings The pandemic economy, in original documents
Home Source documents Exhibit 2, Order Approving Stipulation with Cross River Bank — In re KServicing (Dkt. 623-2)

Exhibit 2, Order Approving Stipulation with Cross River Bank — In re KServicing (Dkt. 623-2)

Date
2023-03-08

Summary

Doc 623-2, filed March 8, 2023 in In re Kabbage, Inc. d/b/a KServicing, et al., Case No. 22-10951 (CTG), a jointly administered Chapter 11 case in the United States Bankruptcy Court for the District of Delaware, is Exhibit 2: a nine-page copy of the Order Approving Stipulation Between the Debtors and Cross River Bank. The order, signed January 17th, 2023 by Judge Craig T. Goldblatt, approves the stipulation. The attached stipulation, dated January 11, 2023, concerns the origination and servicing of Paycheck Protection Program loans. In it the Debtors agree to give Cross River online access to and monthly statements for the Subservicing Account, to hold borrower remittances in trust and disburse them within 14 days of each remittance batch, and to produce the Servicing Files. It sets conditions for remitting borrower overpayments.

Summary drafted by a model from the document's text below and checked by script against that text before publication. It is a navigation aid, not a reading of what the document proves. Where AI is used

Full text

Case 22-10951-CTG   Doc 623-2   Filed 03/08/23   Page 1 of 9




             EXHIBIT 2
                  Case
                   Case22-10951-CTG
                        22-10951-CTG Doc
                                      Doc 444
                                         623-2 Filed
                                                Filed01/17/23
                                                      03/08/23 Page
                                                                Page12ofof29




                        IN THE UNITED STATES BANKRUPTCY COURT
                             FOR THE DISTRICT OF DELAWARE

    In re                                                        Chapter 11

    KABBAGE, INC. d/b/a KSERVICING, et al.,                      Case No. 22-10951 (CTG)

                            Debtors.1                            (Jointly Administered)
                                                                 Re: Docket No. 438

                 ORDER APPROVING STIPULATION BETWEEN THE DEBTORS
                              AND CROSS RIVER BANK

            Upon consideration of the Stipulation Between the Debtors and Cross River Bank (the

“Stipulation”);2 and the district court has jurisdiction under 28 U.S.C. § 1334, which was referred

to this Court under 28 U.S.C. § 157; and consideration of the Stipulation and the relief requested

therein being a core proceeding pursuant to 28 U.S.C. § 157(b); and venue being proper before the

Court pursuant to 28 U.S.C. §§ 1408 and 1409; and due and proper notice of the Stipulation having

been provided, and no other or further notice being required; and after due deliberation thereon

and good and sufficient cause appearing therefor, it is hereby

ORDERED, ADJUDGED, AND DECREED THAT:

            1.     The Stipulation is APPROVED, as set forth herein.

            2.     The Debtors and Cross River are authorized to take any and all actions necessary

to effectuate the Stipulation.

            3.     The Court shall retain jurisdiction to hear and determine all matters arising from

the interpretation and/or implementation of this Order and/or the Stipulation.


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”); 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) (collectively, the “Debtors”).
2
   Capitalized terms used but not otherwise defined herein shall be given the meanings ascribed to such terms in the
Stipulation.



RLF1 28474316v.1
               Case
                Case22-10951-CTG
                     22-10951-CTG Doc
                                   Doc 444
                                      623-2 Filed
                                             Filed01/17/23
                                                   03/08/23 Page
                                                             Page23ofof29




         4.        This Order is effective immediately upon its entry.




 Dated: January 17th, 2023                CRAIG T. GOLDBLATT
 Wilmington, Delaware                     UNITED STATES BANKRUPTCY JUDGE




                                                    2
RLF1 28474316v.1
               Case 22-10951-CTG   Doc 444-1
                                       623-2   Filed 01/17/23
                                                     03/08/23   Page 1
                                                                     4 of 6
                                                                          9




                                      Exhibit 1

                                      Stipulation




RLF1 28475287v.1
                Case 22-10951-CTG          Doc 444-1
                                               623-2       Filed 01/17/23
                                                                 03/08/23       Page 2
                                                                                     5 of 6
                                                                                          9




                       IN THE UNITED STATES BANKRUPTCY COURT
                            FOR THE DISTRICT OF DELAWARE

    In re                                                   Chapter 11

    KABBAGE, INC. d/b/a KSERVICING, et al.,                 Case No. 22-10951 (CTG)

                          Debtors.1                         (Jointly Administered)


            STIPULATION BETWEEN THE DEBTORS AND CROSS RIVER BANK

             WHEREAS, Kabbage and Cross River Bank (“Cross River”) entered into agreements

    relating to the origination and servicing of Paycheck Protection Program loans (“PPP Loans”),

    including that certain Loan Program Agreement dated April 14, 2020, as amended or may be

    amended from time to time, and including any letter agreements or supplements related thereto

    (the “LPA”) and that certain Sale and Servicing Agreement dated May 6, 2020, as amended or

    may be amended from time to time, and including any letter agreements or supplements related

    thereto (“SSA” and together with the LPA, the “Agreements”);

             WHEREAS, Kabbage established and maintains the Synovus CRB Servicing Account

    (as defined in the Debtors’ cash management motion, Docket No. 12) as a “Subservicing

    Account” under the Agreements;

             WHEREAS, on October 3, 2022, the Debtors filed voluntary petitions for relief under

    chapter 11 of the United States Bankruptcy Code;

             WHEREAS, on December 7, 2022, Customers Bank, an operating subsidiary of

    Customers Bancorp. Inc. (“Customers Bank”) filed the Motion of Customers Bank for Entry of



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”); 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) (collectively, the “Debtors”).



RLF1 28474266v.1
                Case 22-10951-CTG               Doc 444-1
                                                    623-2         Filed 01/17/23
                                                                        03/08/23         Page 3
                                                                                              6 of 6
                                                                                                   9




    an Order (I) Compelling Compliance with Court Approved Settlement Agreement and Order;

    (II) Requiring Additional Adequate Protection in Favor of Customers Bank; and (III) Granting

    Related Relief, in which it, among other things, requested various forms of adequate protection;

           WHEREAS, Cross River has requested production of its “Servicing Files” as defined in

    the Agreements;

           NOW THEREFORE, the parties hereby stipulate and agree as follows:

         1.        The Debtors agree to give Cross River online access to the Subservicing Account

for full visibility of account transactions, but not authorization or the ability to move funds to or

from that account.

         2.        The Debtors agree to give Cross River monthly bank statements for the

Subservicing Account when available and upon Cross River’s request.

         3.        The Debtors confirm that the name of the Subservicing Account identifies it as

being for the benefit of Cross River.

         4.        The Debtors shall segregate and hold in trust any and all borrower remittances

pertaining to Cross River’s PPP Loans and deposit such amounts in the Subservicing Account.

Those funds shall be disbursed within 14 days after each agreed upon remittance batch to Cross

River or in accordance with Cross River’s instructions, and the Debtors shall not use those funds

for any purposes other than as authorized by Cross River; provided, however, that the Debtors may

remit any borrower overpayments2 directly to borrowers and/or the Small Business Administration



2
         “Borrower Overpayments” shall mean amounts collected from a borrower on account of a Cross River PPP
Loan (i) already purchased by the SBA, thus resulting in such collected amounts being payable to the SBA, (ii) where
such amounts are in excess of the required minimum loan payments, including payments on forgiven loans, thus
resulting in such collected amounts being payable to the applicable borrower, or (iii) that is ultimately forgiven by the
SBA, thus resulting in such collected amounts being payable to the applicable borrower, or (iv) any other
overpayments received by KServicing from any source that must be returned or otherwise paid to a borrower or the
SBA.
                                                           2
RLF1 28474266v.1
               Case 22-10951-CTG         Doc 444-1
                                             623-2     Filed 01/17/23
                                                             03/08/23   Page 4
                                                                             7 of 6
                                                                                  9




(“SBA”) (as applicable), provided that: (a) on a weekly basis prior to making such payments, the

Debtors shall submit in writing via email to the Cross River PPP Operations team the loan details

to identify the loans to which the overpayments relate, including but not limited to the amount of

the overpayment, the basis for the overpayment, the date of receipt of the payment, a copy of any

borrower or SBA correspondence related thereto, and any other information reasonably requested

by Cross River; (b) prior to making such payments, Cross River shall within 2 business days

respond to the notice and approve the disbursement of such payment; (c) the Debtors will maintain

transaction events in the documentation that is relayed to Cross River that will show any such

payments to borrowers and/or the SBA; and (d) the Debtors will provide on a monthly basis a

reconciliation to Cross River of cash being paid by borrowers and cash being paid to borrowers

and/or the SBA no later than 30 days after each respective remittance batch.

         5.        The Debtors will produce to Cross River the Servicing Files (as defined in the

Agreements) as supplemented or otherwise modified by written agreement between the parties or

as set forth in the documents specified in the correspondence between counsel to the parties, dated

January 11, 2023. This is without prejudice to Cross River’s rights to seek additional documents,

including in connection with the transfer of servicing of Cross River’s PPP Loans, and nothing

herein shall be construed to modify or amend the Agreements.




                                                  3
RLF1 28474266v.1
               Case 22-10951-CTG   Doc 444-1
                                       623-2   Filed 01/17/23
                                                     03/08/23   Page 5
                                                                     8 of 6
                                                                          9




Dated: January 11, 2023
       Wilmington, Delaware
                                        BENESCH, FRIEDLANDER, COPLAN &
                                        ARONOFF LLP

                                        /s/ Gregory W. Werkheiser
                                        Gregory W. Werkheiser (No. 3553)
                                        1313 N. Market Street, Suite 1201
                                        Wilmington, Delaware 19801
                                        Telephone: (302) 442-7010
                                        Facsimile: (302) 442-7012
                                        gwerkheiser@beneschlaw.com

                                        QUINN EMANUEL URQUHART &
                                        SULLIVAN, LLP

                                        Susheel Kirpalani
                                        Isaac Nesser
                                        51 Madison Avenue, 22nd Floor
                                        New York, NY 10010
                                        Telephone: (212) 849-7000
                                        susheelkirpalani@quinnemanuel.com
                                        isaacnesser@quinnemanuel.com

                                        Erika Morabito
                                        1300 I Street NW, Suite 900
                                        Washington, D.C. 20005
                                        Telephone: (202) 538-8000
                                        erikamorabito@quinnemanuel.com

                                        Matthew R. Scheck
                                        300 West 6th Street, Suite 2010
                                        Austin, TX 78701
                                        Telephone: (737) 667-6100
                                        matthewscheck@quinnemanuel.com

                                        Counsel to Cross River Bank




                                          4
RLF1 28474266v.1
               Case 22-10951-CTG   Doc 444-1
                                       623-2    Filed 01/17/23
                                                      03/08/23   Page 6
                                                                      9 of 6
                                                                           9




Dated: January 11, 2023
       Wilmington, Delaware
                                        /s/ Zachary I. Shapiro
                                        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

                                        Attorneys for Debtors and
                                        Debtors-In-Possession




                                          5
RLF1 28474266v.1


File and source

File
gov.uscourts.deb.188293.623.2.pdf
Size
330,635 bytes
SHA-256
c6c6a6bb229d00a336bc43986124b8e7e198e1497406106c0c84f8eef6092380
Our copy
gov.uscourts.deb.188293.623.2.pdf
Original
archive.org
Back to top