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Thomas J. Salerno (AZ Bar No. 007492) [email protected]
Jordan A. Kroop (AZ Bar No. 018825) [email protected]
Kelly Singer (AZ Bar No. 024024) [email protected]
SQUIRE, SANDERS & DEMPSEY L.L.P.
Two Renaissance Square, Suite 2700
40 North Central Avenue
Phoenix, Arizona 85004-4498
(602) 528-4000

Counsel to the Debtors


UNITED STATES BANKRUPTCY COURT

DISTRICT OF ARIZONA



In re

DEWEY RANCH HOCKEY, LLC,

COYOTES HOLDINGS, LLC,

COYOTES HOCKEY, LLC, and

ARENA MANAGEMENT GROUP, LLC,


Debtors.



This Filing Applies to:




(cid:132)
(cid:136)

All Debtors
Specified Debtors

Case No. 2:09-bk-09-09488
(Jointly Administered)

Chapter 11

NOTICE OF CONTINUED HEARING


Date of Hearing: September 16, 2010
Time of Hearing: 1:30 p.m.



PLEASE NOTE that the hearing on the following motions (the “Motions”) has been

continued to Thursday, September 16, 2010, at 1:30 p.m., (MST) in Courtroom 703, United

States Bankruptcy Court, 230 N. 1st Avenue, Phoenix, Arizona 85003:

a.

b.

Emergency Motion Under Bankruptcy Code Sections 105(a) And 502(c)
To Estimate City Of Glendale’s Claim For Purposes Of Distribution (D.E.
1109), filed on November 13, 2009 by the Debtors;

Debtors’ Supplement to Motion Under Bankruptcy Code Sections 105(a)
and 502(c) to Estimate City of Glendale's Claim for Purposes of
Distribution (D.E. 1123), filed on November 30, 2009 by the Debtors;

PHOENIX/552462.1

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c.

d.

e.

f.

g.

h.

i.

Motion To Convert Chapter 11 Case To Case Under Chapter 7 Pursuant
To 11 U.S.C. § 1112(b) (D.E. 1142), filed on December 3, 2009 by
Glendale;

Debtors’ Objection to the City of Glendale’s Amended and Restated Proof
of Claim No. 186 (D.E. 1159), filed on December 14, 2009 by the Debtors;

Motion For Order: (A) Approving Disclosure Statement; (B) Authorizing
Solicitation Of Votes On The Plan; (C) Approving Solicitation
Procedures; (D) Scheduling Hearing On Confirmation Of The Plan; And
(E) Approving Form, Manner And Sufficiency Of Notice (D.E. 1197), filed
on February 25, 2010 by the Debtors, with reference to the Disclosure
Statement In Support Of Amended Plan Dated May 25, 2010 (D.E. 1249),
filed on May 25, 2010 by the Debtors;

Motion Under Bankruptcy Code Sections 105(a) And 502(c) To Estimate
Claims Related To Glendale Contracts For Purposes Of Plan Distribution
(D.E. 1208), filed on March 11, 2010 by the Debtors;

Motion to Estimate Claims Related to Certain Additional Contracts for
Purposes of Plan Distribution Under Bankruptcy Code Sections 105(a)
and 502(c) (D.E. 1211), filed on March 11, 2010 by Conflicts Counsel for
the Debtors;

Motion to Dismiss (D.E. 19 in Adversary Case 09-00952-RTBP), filed on
October 16, 2009 by Jerry Moyes; and

City Of Glendale's Disclosure Statement In Support Of Its Plan Of
Liquidation Dated June 16, 2010 (D.E. 1258), filed on June 16, 2010 by
Glendale.

Dated this 10th day of August, 2010.







/s/ Jordan A. Kroop
Thomas J. Salerno
Jordan A. Kroop
Kelly Singer

SQUIRE, SANDERS & DEMPSEY L.L.P.

By:



Two Renaissance Square
40 North Central Avenue, Suite 2700
Phoenix, Arizona 85004
Phone: (602) 528-4000
Fax: (602) 253-8129

Counsel to the Debtors



PHOENIX/552462.1

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