Motion Of Debtors For Entry Of Order (I) Extending
Summary
A Certificate of No Objection, Doc 442, filed January 13, 2023 by the debtors in In re Kabbage, Inc. d/b/a KServicing, et al., Case No. 22-10951 (CTG), in the U.S. Bankruptcy Court for the District of Delaware. It certifies that no answer or objection was received to the debtors' motion at Docket No. 418, filed January 5, 2023, to extend the time to assume or reject unexpired leases of nonresidential real property, with objections due January 12, 2023. It is signed by counsel at Richards, Layton & Finger, P.A., with Weil, Gotshal & Manges LLP also listed for the debtors. Exhibit A is a proposed order granting the motion and extending the Assumption/Rejection Deadline to May 1, 2023 under section 365(d)(4) of the Bankruptcy Code.
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Case 22-10951-CTG Doc 442 Filed 01/13/23 Page 1 of 6
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)
:
: Re: Docket No. 418
------------------------------------------------------------ x
CERTIFICATE OF NO OBJECTION REGARDING
MOTION OF DEBTORS FOR ENTRY OF ORDER (I) EXTENDING
TIME TO ASSUME OR REJECT UNEXPIRED LEASES OF
NONRESIDENTIAL REAL PROPERTY AND (II) GRANTING RELATED RELIEF
The undersigned hereby certifies that 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”), have received no answer, objection or any other responsive pleading
with respect to the Motion of Debtors for Entry of Order (I) Extending Time to Assume or Reject
Unexpired Leases of Nonresidential Real Property and (II) Granting Related Relief [Docket No.
418] (the “Motion”) filed by the Debtors with the United States Bankruptcy Court for the District
of Delaware (the “Court”) on January 5, 2023. The undersigned further certifies that no answer,
objection or other responsive pleading to the Motion has appeared on the Court’s docket in the
above-captioned chapter 11 cases. Pursuant to the Notice of Motion and Hearing filed with the
Motion, any objection or response to the relief requested in the Motion was to be filed and served
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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no later than January 12, 2023 at 4:00 p.m. (prevailing Eastern Time).
WHEREFORE, the Debtors respectfully request that an order, substantially in the form
attached hereto as Exhibit A, be entered at the earliest convenience of the Court.
Dated: January 13, 2023
Wilmington, Delaware
/s/ Matthew P. Milana
RICHARDS, LAYTON & FINGER, P.A.
Daniel J. DeFranceschi, Esq. (No. 2732)
Amanda R. Steele, Esq. (No. 5530)
Zachary I. Shapiro, Esq. (No. 5103)
Matthew P. Milana, Esq. (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, Esq. (admitted pro hac vice)
Natasha S. Hwangpo, Esq. (admitted pro hac vice)
Chase A. Bentley, Esq. (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
2
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EXHIBIT A
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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)
:
: (Jointly Administered)
Debtors.1 :
------------------------------------------------------------ x Re: Docket No. 418
ORDER (I) EXTENDING TIME TO ASSUME
OR REJECT UNEXPIRED LEASES OF NONRESIDENTIAL
REAL PROPERTY AND (II) GRANTING RELATED RELIEF
Upon the motion (the “Motion”)2 of 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”), pursuant to section 365(d)(4) of the Bankruptcy Code, for entry of
an order (i) extending the time to assume or reject unexpired leases of nonresidential real property
(the “Assumption/Rejection Deadline”) by an additional ninety (90) days, up to and including
May 1, 2023, and (ii) granting related relief, all as more fully set forth in the Motion; and the Court
having jurisdiction over this matter pursuant to 28 U.S.C. §§ 157 and 1334 and the Amended
Standing Order of Reference from the United States District Court for the District of Delaware,
dated as of February 29, 2012; and this matter 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 Motion having been provided to the Notice Parties; and such notice having
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.
2
Capitalized terms used but not otherwise defined herein shall have the meanings ascribed to such terms in the Motion.
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been adequate and appropriate under the circumstances; and it appearing that no other or further
notice need be provided; and this Court having reviewed the Motion; and upon any hearing held
to consider the relief requested in the Motion; and this Court having determined that the legal and
factual bases set forth in the Motion establish just cause for the relief granted herein; and it
appearing that the relief requested in the Motion is in the best interests of the Debtors, their estates,
their creditors, and all parties in interest; and after due deliberation and sufficient cause appearing
therefor,
IT IS HEREBY ORDERED THAT:
1. The Motion is granted to the extent set forth herein.
2. The Assumption/Rejection Deadline is extended to and including May 1,
2023, in accordance with section 365(d)(4) of the Bankruptcy Code.
3. The extension of time granted by this Order is without prejudice to the right
of the Debtors to request further extensions, including on the basis that the initial
Assumption/Rejection Deadline is May 1, 2023, and/or with the consent of the applicable landlord.
4. Nothing in the Motion or this Order shall be deemed or construed as (a) an
assumption or rejection of any agreement, contract, or lease pursuant to section 365 of the
Bankruptcy Code or (b) an admission or finding with respect to whether any of the Debtors’
contracts or leases is an unexpired lease of nonresidential real property within the meaning of
section 365(d) of the Bankruptcy Code.
5. The Debtors are authorized to take all actions necessary to effectuate the
relief granted in this Order.
6. This Order shall be immediately effective and enforceable upon its entry.
2
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7. This Court shall retain jurisdiction to hear and determine all matters arising
from or related to the implementation, interpretation, or enforcement of this Order.
.
3
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