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Case:12-24882-ABC Doc#:500 Filed:09/28/12

Entered:09/28/12 13:38:48 Page1 of 2

UNITED STATES BANKRUPTCY COURT DISTRICT OF COLORADO In re CORDILLERA GOLF CLUB, LLC dba The Club at Cordillera, Debtor. Case No. 12-24882 ABC Chapter 11

NOTICE PURSUANT TO LOCAL RULE 9013-1.1 OF MOTION FOR ENTRY OF AN ORDER EXTENDING THE DEADLINE UNDER SECTION 365(d)(4) OF THE BANKRUPTCY CODE TO ASSUME OR REJECT CERTAIN UNEXPIRED LEASES OF NONRESIDENTIAL REAL PROPERTY OBJECTION DEADLINE: October 12, 2012

YOU ARE HEREBY NOTIFIED THAT Cordillera Golf Club, LLC dba The Club at Cordillera (the "Debtor") is filing concurrently herewith a Motion for Entry of an Order Extending the Deadline Under Section 365(d)(4) of the Bankruptcy Code to Assume or Reject Certain Unexpired Leases of Nonresidential Real Property (the "Motion") with the bankruptcy court and requests the following relief: to extend the deadline for the Debtor to assume or reject certain unexpired leases of non-residential property, including but not limited to the "leases" and agreements set forth on Exhibit A attached to the Motion (collectively, the "Leases"). The deadline for the Debtor to assume or reject the Leases is October 24, 2012. The Debtor seeks an extension of time, to and including January 22, 2013, within which to determine whether to assume or reject each of the Leases. Copies of all pleadings filed in the Debtor's case are available at the following website: www.omnimgt.com/cordilleragolfclub. Additional copies will be provided upon request. If you oppose the Motion or object to the requested relief your objection and request for hearing must be filed on or before the objection deadline stated above, served on the movant at the address indicated below, and must state clearly all objections and any legal basis for the objections. The court will not consider general objections. In the absence of a timely, substantiated objection and request for hearing by an interested party, the court may approve or grant the requested relief without any further notice to creditors or other interested parties.

Case:12-24882-ABC Doc#:500 Filed:09/28/12

Entered:09/28/12 13:38:48 Page2 of 2

Dated: September 28, 2012

Christopher Celentino (CA No. 131688) Mikel Bistrow (CA No. 102978) Dawn A. Messick (CA No. 236941) Admitted Pro Hac Vice 402 West Broadway, Suite 2100 San Diego, California 92101 Telephone: 619-234-6655 Facsimile: 619-234-3510 Email: ccelentino@foley.com Email: mbistrow@foley.com Email: dmessick@foley.com Counsel for Debtor and Debtor in Possession -andSENDER & WASSERMAN, P.C. /s/ David V. Wadsworth Harvey Sender, #7546 David V. Wadsworth, #32066 1660 Lincoln Street, Suite 2200 Denver, CO 80264 Telephone: 303-296-1999 Facsimile: 303-296-7600 Email: sender@sendwass.com; dvw@sendwass.com Counsel for Debtor and Debtor in Possession

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