Case number: 8:26-bk-10834 - Raymond Group, LLC - California Central Bankruptcy Court

Case Information
  • Case title

    Raymond Group, LLC

  • Court

    California Central (cacbke)

  • Chapter

    11

  • Judge

    Scott C Clarkson

  • Filed

    03/18/2026

  • Last Filing

    07/01/2026

  • Asset

    Yes

  • Vol

    v

Docket Header
DsclsDue, PlnDue



U.S. Bankruptcy Court
Central District of California (Santa Ana)
Bankruptcy Petition #: 8:26-bk-10834-SC

Assigned to: Scott C Clarkson
Chapter 11
Voluntary
Asset


Date filed:  03/18/2026
341 meeting:  06/22/2026
Deadline for objecting to discharge:  06/22/2026

Debtor

Raymond Group, LLC

520 Newport Center Drive
Suite 480
Newport Beach, CA 92660
ORANGE-CA
Tax ID / EIN: 47-1191909

represented by
Kyra E Andrassy

Raines Feldman Littrell LLP
4675 MacArthur Court
Ste 1550
Newport Beach, CA 92660
310-440-4100
Email: kandrassy@raineslaw.com

Robert S Marticello

Raines Feldman Littrell LLP
4675 MacArthur Ct
Suite 1550
Newport Beach, CA 92660
310-440-4100
Fax : 949-247-3998
Email: rmarticello@raineslaw.com

Stephen M. Mott

Raines Feldman Littrell LLP
1900 Avenue of the Stars 19th Fl
Los Angeles, CA 90067
310-620-9334
Fax : 310-691-1367
Email: smott@raineslaw.com

U.S. Trustee

United States Trustee (SA)

411 W Fourth St., Suite 7160
Santa Ana, CA 92701-4593
(714) 338-3400
represented by
Kenneth Misken

DOJ-UST
Office of the United States Trustee
411 W. Fourth St, #7160
Ste 7160
Santa Ana, CA 92701
714-338-3405
Email: Kenneth.M.Misken@usdoj.gov

Latest Dockets

Date Filed#Docket Text
07/01/202678Status Report for Chapter 11 Status Conference Filed by Debtor Raymond Group, LLC. (Andrassy, Kyra)
07/01/202677Application shortening time - Application for Order Setting Hearing on Shortened Notice - Motion Pursuant to 11 U.S.C. § 364(b) to Enter Into Premium Finance Agreement With First Insurance Funding, a Division of Lake Forest Bank & Trust Company, N.A. Filed by Debtor Raymond Group, LLC (Andrassy, Kyra)
07/01/202676Motion Pursuant to 11 U.S.C. § 364(b) to Enter Into Premium Finance Agreement With First Insurance Funding, a Division of Lake Forest Bank & Trust Company, N.A.; Memorandum of Points and Authorities; and Declaration of Howard Grobstein In Support Thereof Filed by Debtor Raymond Group, LLC (Andrassy, Kyra)
06/30/202675Notice of Motion Pursuant to 11 U.S.C. § 363(b) to Enter into Property Management Agreements with R & K Interests, Inc. dba Investors Property Services as Property Management Company Effective June 1, 2026 and Opportunity to Object and Request a Hearing Filed by Debtor Raymond Group, LLC (RE: related document(s)[74] Application to Employ Motion Pursuant to 11 U.S.C. § 363(b) to Enter into Property Management Agreement with R & K Interests, Inc. dba Investors Property Services as Property Management Company Effective June 1, 2026; Memorandum of Points and Authorities; and Declaration of Howard Grobstein in Support Thereof Filed by Debtor Raymond Group, LLC). (Andrassy, Kyra)
06/30/202674Application to Employ Motion Pursuant to 11 U.S.C. § 363(b) to Enter into Property Management Agreement with R & K Interests, Inc. dba Investors Property Services as Property Management Company Effective June 1, 2026; Memorandum of Points and Authorities; and Declaration of Howard Grobstein in Support Thereof Filed by Debtor Raymond Group, LLC (Andrassy, Kyra)
06/25/202673Request for courtesy Notice of Electronic Filing (NEF) Filed by Ward, Christopher. (Ward, Christopher)
06/25/202672Notice - Amended Notice of Motion to Confirm Howard Grobstein's Appointment as Manager of the Debtor and Application to Employ Grobstein Teeple LLP to Provide Support Services, as Supplemented, and Opportunity to Object and Request a Hearing Filed by Debtor Raymond Group, LLC (RE: related document(s)[49] Application to Employ Howard Grobstein as Manager Motion to Confirm Howard Grobstein's Appointment as Manager of the Debtor and Application to Employ Grobstein Teeple LLP to Provide Support Service; Statement ofDisinterestedness and Declaration of Howard Grobstein in support Filed by Debtor Raymond Group, LLC, [68] Supplemental - Supplement to Motion to Confirm Howard Grobstein's Appointment as Manager of the Debtor and Application to Employ Grobstein Teeple LLP to Provide Support Services; Declaration of Howard Grobstein in Support Filed by Debtor Raymond Group, LLC.). (Andrassy, Kyra)
06/24/202671Notice of lodgment Order Approving Application to Employ Raines Feldman Littrell LLP as General Bankruptcy Counsel Effective March 18, 2026 Filed by Debtor Raymond Group, LLC (RE: related document(s)[40] Application to Employ Raines Feldman Littrell LLP as General Bankruptcy Counsel Effective March 18, 2026; Statement of Disinterestedness of Kyra E. Andrassy; and Declaration of Howard Grobstein in support thereof Filed by Debtor Raymond Group, LLC). (Andrassy, Kyra)
06/24/202670Response to (related document(s): [40] Application to Employ Raines Feldman Littrell LLP as General Bankruptcy Counsel Effective March 18, 2026; Statement of Disinterestedness of Kyra E. Andrassy; and Declaration of Howard Grobstein in support thereof filed by Debtor Raymond Group, LLC) Response to Order Requiring Further Supplemental Disclosure and Relodged Proposed Order on Application to Employ Raines Feldman Littrell LLP as General Bankruptcy Counsel Filed by Debtor Raymond Group, LLC (Andrassy, Kyra)
06/24/202669Notice of Entry of Order Requiring Further Supplement Disclosure and Relodged Proposed Order on Application to Employ Raines Feldman Littrell LLP as General Bankruptcy Counsel Filed by Debtor Raymond Group, LLC (RE: related document(s)[64] Order Requiring Further Supplemental Disclosure And Relodged Proposed Order On Application To Employ Raines Feldman Littrell LLP As General Bankruptcy Counsel (BNC-PDF) - Accordingly, the Court Orders As Follows: 1. No later than June 24, 2026, RFL Shall File A Further Supplemental Declaration Stating: a. Whether the Cogent Bank Production Indicates That The Retainer Was Funded With Debtor's Fund, Property That Would Otherwise Have Been Property Of The Estate, Bank Of America's Cash Collateral, Or Any Other Secured Creditor's Collateral; And c. The Correct Retainer Balance As Of The Petition Date, Including Reconciliation Of The $44,391.50 Balance Stated In The Application With The $42,799.50 Balance Stated In The Statement Of Disinterestedness - PLEASE SEE ORDER FOR FURTHER RULING Signed on 6/9/2026. (GD)). (Andrassy, Kyra)