Case number: 8:11-bk-77954 - Exeter Holding, Ltd. - New York Eastern Bankruptcy Court

Case Information
  • Case title

    Exeter Holding, Ltd.

  • Court

    New York Eastern (nyebke)

  • Chapter

    11

  • Judge

    Alan S. Trust

  • Filed

    11/09/2011

  • Last Filing

    01/04/2024

  • Asset

    Yes

  • Vol

    i

Docket Header
U.S. Bankruptcy Court
Eastern District of New York (Central Islip)
Bankruptcy Petition #: 8-11-77954-ast

Assigned to: Judge Alan S Trust
Chapter 11
Involuntary
Asset


Date filed:  11/09/2011
Plan confirmed:  07/08/2013
341 meeting:  03/23/2012
Deadline for filing claims:  01/30/2013

Debtor

Exeter Holding, Ltd.

131 Jericho Tpke, Ste 205
Jericho, NY 11753
NASSAU-NY
Tax ID / EIN: 11-2860504

represented by
Robert J Ansell

Silverman Acampora LLP
100 Jericho Quadrangle
Suite 300
Jericho, NY 11753
(516) 479-6300
Fax : 516-479-6301
Email: ransell@sallp.com

Katherine Geraci

47-23 194 Street
Flushing, NY 11358
347-804-9603
TERMINATED: 08/22/2013

Avrum J Rosen

The Law Offices of Avrum J Rosen, PLLC
38 New Street
Huntington, NY
631-423-8527
Fax : 631-423-4536
Email: ajrlaw@aol.com

U.S. Trustee

United States Trustee

Long Island Federal Courthouse
560 Federal Plaza - Room 560
Central Islip, NY 11722-4437
(631) 715-7800

 
 
Cred Committee Aty

Winston & Strawn LLP, Winston & Strawn LLP

200 Park Avenue
New York, NY 10166
212-294-6700

represented by
Samuel S Kohn

Chadbourne & Parke LLP
1301 Avenue of the Americas
New York, NY 10019-6022
212-408-1060
Fax : 212-541-5369
Email: skohn@chadbourne.com

Creditor Committee

Official Committee of of Unsecured Creditors of Exeter Holding Ltd.
represented by
Samuel S Kohn

(See above for address)

Louis A Russo

Alston & Bird LLP
90 Park Avenue
New York, NY 10016
212-210-9587
Fax : 212-922-3867
Email: louis.russo@alston.com

Winston & Strawn

200 Park Avenue
New York, NY 10022
(212) 888-0800

Latest Dockets

Date Filed#Docket Text
01/30/2018458Stipulation an Order By and Between the Plan Administrator and Warburton Hudson Realty Corp. Confirming that the automatic stay is NOT in effect pursuant to Section 362 of the Bankruptcy Code. for the real properties located at 79-15, 79-17 and 79-19 24th Avenue, Jackson Heights, New York. Warburton may exercise any and all of its rights and remedies in the State Court to foreclose on the Real Properties. The Plan Administrator shall be notified of any proceedings in the State Court. The Parties consent to the Bankruptcy Court's approval of this Stipulation as an Order of the Bankruptcy Court. For purposes of interpretation, this Stipulation shall be deemed to have been jointly drafted by theParties. (RE: related document(s)[455] Notice of Proposed Stipulation filed by Other Prof. Gary Herbst). SO ORDERED on 1/30/2018 (dnb)
01/23/2018457Monthly Operating Report for Filing Period October 1, 2017 to December 31, 2017 (Quarterly) Filed by David A Blansky on behalf of Exeter Holding, Ltd., Gary Herbst (Blansky, David)
01/19/2018456Chapter 11 Statement of Quarterly Disbursements Post Confirmation for the Reporting Period from 10/01/17 through 12/31/17 Filed by David A Blansky on behalf of Exeter Holding, Ltd., Gary Herbst (Blansky, David)
01/08/2018455Notice of Proposed Stipulation By and Between the Plan Administrator and Warburton Hudson Realty Corp. to confirm the automatic stay is not in effect for the real properties located at 79-15, 79-17 and 79-19 24th Avenue, Jackson Heights, New York Filed by Jordan Pilevsky on behalf of Gary Herbst (Pilevsky, Jordan)
12/08/2017454Order Granting Motion Approving Settlement Agreement annexed to the Motion as Exhibit A is approved. Following receipt of clearance of the Settlement Sum in the Plan Administrators account, any and all claims against Defendants by the Plan Administrator, the Debtor, or any person or entity acting on behalf of the Debtor, shall be deemed released, discharged and barred; the Alleged Markel Debt and Alleged Retaining Lien are disallowed; proof of claim no. 42, filed by Adam David Markel, P.C., on January 31, 2013, is disallowed. Trustee is authorized and empowered to expend such funds and execute and deliver any and all documents as are reasonably necessary to implement the terms of this Order and the Settlement Agreement (Related Doc # [449]) Signed on 12/8/2017. (dnb)
12/08/2017453Order Granting motion to further Extend Time the deadline for the Plan Administrator to object to claims filed in the Debtor's estate is extended from the current deadline of December 31, 2017 through and including June 30, 2018, without prejudice (Related Doc # [448]). Signed on 12/8/2017. (dnb)
12/06/2017452Notice of Change of Address of Karen Levy from 5430 Baltimore Drive #65 LaMesa, CA 92042 to 16450 Caminito Vecinos, #101, San Diego CA 92128. Filed by Karen Levy (dnb). Modified on 12/6/2017 to clarify (dnb).
11/07/2017451Affidavit/Certificate of Service of Notice Of Presentment Of An Order Further Extending The Plan Administrators Time To Object To Claims Filed In The Estate and Motion Of the Plan Administrator For the Entry of an Order Further Extending His Time to Object to Claims Filed in the Estate with Exhibit Filed by David A Blansky on behalf of Gary Herbst (RE: related document(s)[448] Motion to Extend Time filed by Other Prof. Gary Herbst) (Blansky, David)
11/07/2017450Affidavit/Certificate of Service of Notice of Presentment of Order Approving Settlement By and Between Gary Herbst, as Plan Administrator of Exeter Holding, Ltd., Adam David Markel and Adam David Markel, P.C. Resolving Claims By and Between Them and The Plan Administrator's Motion Seeking Approval of the Settlement Agreement By and Between the Plan Administrator, Adam David Markel and Adam David Markel, P.C. Resolving Claims By and Between Them with Exhibit and Proposed Order Filed by David A Blansky on behalf of Gary Herbst (RE: related document(s)[449] Motion to Compromise Controversy filed by Other Prof. Gary Herbst) (Blansky, David)
11/06/2017449Motion to Compromise Controversy /Notice of Presentment of Order Approving Settlement By and Between Gary Herbst, as Plan Administrator of Exeter Holding, Ltd., Adam David Markel and Adam David Markel, P.C. Resolving Claims by and Between Them. Objections to be filed on 11/24/2017. Hearing on Objections, if any, will be held on: To Be Scheduled by the Court. Filed by David A Blansky on behalf of Gary Herbst. Order to be presented for signature on 12/1/2017. (Attachments: # (1) Exhibit Agreement # (2) Proposed Order) (Blansky, David)