United States Bankruptcy Court Southern District of New York
United States Bankruptcy Court Southern District of New York
United States Bankruptcy Court Southern District of New York
NOTICE OF APPEARANCE AND REQUEST FOR SERVICE PLEASE TAKE NOTICE that Madison Bay Street, LLC (Landlord) landlord at Bay Street Emeryville shopping center in Emeryville, California, hereby enters its appearance through its undersigned counsel in accordance with 11 U.S.C. 1109(b) and Federal Rule of Bankruptcy Procedure 9010, and, pursuant to 11 U.S.C. 102(1) and 342 and Federal Rules of Bankruptcy Procedure 2002 and 9007, requests that all notices given or required to be given in this case, and all papers served or required to be served in this case be given to and served upon the following counsel: Jordan A. Lavinsky, Esq. Hanson Bridgett LLP 425 Market Street, 26th Floor San Francisco, CA 94105 Ph: (415) 777-3200 Fax: (415) 995-3473 Email: jlavinsky@hansonbridgett.com PLEASE TAKE FURTHER NOTICE that, pursuant to 11 U.S.C. 1109(b) the foregoing request includes not only notices and papers referred to in the Bankruptcy Rules specified above, but also includes, without limitation, orders and notices of any application, motion, petition, pleading, request, complaint, disclosure document of any kind, conference, hearing or demand, whether formal or informal, whether written or oral, and whether transmitted
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or conveyed by mail, courier service, telephone, facsimile, or otherwise, which affect or seek to affect in any way the rights or interests of Landlord. PLEASE TAKE FURTHER NOTICE that, pursuant to Federal Rule of Bankruptcy Procedure 3017(a), Landlord requests that its attorneys be provided with copies of any disclosure statements and plans of reorganization. This Notice of Appearance and Request for Service shall not be deemed or construed to be a waiver of the rights of Landlord to (i) have final orders in non-core matters entered only after de novo review by a District Judge (ii) trial by jury in any proceeding so triable in this case or any case, controversy, or proceeding related to this case, (iii) have the District Court withdraw the reference in any matters subject to such withdrawal, or (iv) any other rights, claims, setoffs, or recoupments to which it may be entitled, which it expressly reserves.
HANSON BRIDGETT LLP Attorneys for Madison Bay Street, LLC By: /s/ JORDAN A. LAVINSKY 425 Market Street, 26th Floor San Francisco, California 94105 (415) 777-3200
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