Case number: 1:25-bk-11050 - Broadway Realty I Co., LLC - New York Southern Bankruptcy Court

Case Information
  • Case title

    Broadway Realty I Co., LLC

  • Court

    New York Southern (nysbke)

  • Chapter

    11

  • Judge

    David S Jones

  • Filed

    05/21/2025

  • Last Filing

    12/19/2025

  • Asset

    Yes

  • Vol

    v

Docket Header
MEGANY, MEGA, Lead, CLMAGT



U.S. Bankruptcy Court
Southern District of New York (Manhattan)
Bankruptcy Petition #: 25-11050-dsj

Assigned to: Judge David S Jones
Chapter 11
Voluntary
Asset


Date filed:  05/21/2025

Debtor

Broadway Realty I Co., LLC

2 Grand Central Tower
140 East 45th Street, 12th Floor
New York, NY 10017
NEW YORK-NY
Tax ID / EIN: 13-3975426

represented by
Gary Holtzer

Weil Gotshal & Manges LLP
767 Fifth Avenue
New York, NY 10153
(212) 310-8463
Fax : (212) 310-8007
Email: gary.holtzer@weil.com

U.S. Trustee

United States Trustee

Office of the United States Trustee - NY
Alexander Hamilton Custom House
One Bowling Green, Room 534
New York, NY 10004-1408
(212) 510-0500

represented by
Rachael Siegel

DOJ-Ust
Alexander Hamilton Customs House
One Bowing Green
Room 534
New York, NY 10004
212-510-0503
Email: rachael.e.siegel@usdoj.gov

Claims and Noticing Agent

Stretto Claims Agent

8269 E. 23rd Avenue
Suite 275
www.stretto.com
Denver, CO 80238
(855) 812-6112

 
 
Noticing Agent

Stretto, Inc

Stretto
 
 

Latest Dockets

Date Filed#Docket Text
12/18/2025822Certificate of No Objection Pursuant to LR 9013-3 / Certificate of No Objection to Debtors' Second Motion for Entry of Order (I) Further Extending the Deadline by Which the Debtors May Remove Civil Actions and (II) Granting Related Relief (related document(s)797) Filed by Gary Holtzer on behalf of Broadway Realty I Co., LLC. (Holtzer, Gary) (Entered: 12/18/2025)
12/18/2025821Certificate of No Objection Pursuant to LR 9013-3 / Certificate of No Objection to Debtors' Second Motion Pursuant to 11 U.S.C. § 1121(d) to Further Extend Exclusive Plan Periods (related document(s)796) Filed by Gary Holtzer on behalf of Broadway Realty I Co., LLC. (Holtzer, Gary) (Entered: 12/18/2025)
12/18/2025820Certificate of No Objection Pursuant to LR 9013-3 / Certificate of No Objection to Debtors' Amended Application for Authority to Retain and Employ Golenbock Eiseman Assor Bell & Peskoe LLP as Conflicts Counsel and as Special Real Estate Counsel to the Debtors (related document(s)805, 798) Filed by Gary Holtzer on behalf of Broadway Realty I Co., LLC. (Holtzer, Gary) (Entered: 12/18/2025)
12/17/2025818Statement / Notice of Extension of Deadline for Selection of Stalking Horse Bid (related document(s)551, 571) filed by Gary Holtzer on behalf of Broadway Realty I Co., LLC. (Holtzer, Gary) (Entered: 12/17/2025)
12/16/2025819Letter to The Honorable David S. Jones, dated 12/12/2025 Re: Pending Violations and Maintenance issues that plague the building I live in, incomplete repairs and matters to consider before approving a new owner with respect to 681 West 193d Street etc. Filed by Deborah Trencher. (Suarez, Aurea) (Entered: 12/17/2025)
12/16/2025817Declaration of Matthew P. Goren Pursuant to Order Pursuant to 11 U.S.C. § 327(a), Fed. R. Bankr. P. 2014 and 2016 and Local Rules 2014-1 and 2016-1 for Authority to Retain and Employ Weil, Gotshal & Manges LLP as Attorneys for Debtors Effective as of Petition Date (related document(s)564) filed by Gary Holtzer on behalf of Broadway Realty I Co., LLC. (Holtzer, Gary) (Entered: 12/16/2025)
12/16/2025816Affidavit of Service re: Sixth Monthly Fee Statement of Weil, Gotshal & Manges LLP for Compensation for Services Rendered and Reimbursement of Expenses Incurred as Attorneys for Debtors for Period From November 1, 2025 Through and Including November 30, 2025 (Docket No. 803, Fifth Monthly Fee Statement of FTI Consulting, Inc. for Compensation for Services Rendered and Reimbursement of Expenses as Financial Advisor to the Debtors for the Period From October 1, 2025 Through October 31, 2025 (Docket No. 804), Notice of Hearing on Debtors Amended Application for Authority to Retain and Employ Golenbock Eiseman Assor Bell & Peskoe LLP as Conflicts Counsel and as Special Real Estate Counsel to the Debtors (Docket No. 805) (related document(s)803, 805, 804) filed by Stretto, Inc.(Klamser, Robert) (Entered: 12/16/2025)
12/16/2025815Affidavit of Service re: Notice of Hearing on Debtors Second Motion Pursuant to 11 U.S.C. § 1121(d) to Further Extend Exclusive Plan Periods (Docket No. 796), Notice of Hearing on Debtors Second Motion for Entry of Order (I) Further Extending the Deadline by Which the Debtors May Remove Civil Actions and (II) Granting Related Relief (Docket No. 797), Notice of Hearing on Debtors Application for Authority to Retain and Employ Golenbock Eiseman Assor Bell & Peskoe LLP as Conflicts Counsel and as Special Real Estate Counsel to the Debtors (Docket No. 798) (related document(s)796, 797, 798) filed by Stretto, Inc.(Klamser, Robert) (Entered: 12/16/2025)
12/16/2025814Affidavit of Service re: Individualized Class 3 Secured Mortgage Claims Ballot for Voting on the Debtors Joint Chapter 11 Plan (Substantially in the form attached as Exhibit 1 of the Disclosure Statement Order filed as Docket No. 789), Notice of (I) Approval of Disclosure Statement, (II) Establishment of Solicitation and Voting Procedures with Respect to Debtors Proposed Chapter 11 Plan, (III) Scheduling of Confirmation Hearing, and (IV) Establishment of Notice and Objection Procedures for Confirmation of Debtors Proposed Chapter 11 Plan (Substantially in the form attached as Exhibit 4-1 of the Disclosure Statement Order filed as Docket No. 789), First Amended Joint Plan (Docket No. 780), [Proposed] Disclosure Statement for First Amended Joint Chapter 11 Plan (Docket No. 782), Order (I) Approving Proposed Disclosure Statement and the Form and Manner of Notice of Hearing Thereof, (II) Establishing Solicitation and Voting Procedures with Respect to Debtors Proposed First Amended Chapter 11 Plan, (III) Scheduling Confirmation Hearing, (IV) Establishing Notice and Objection Procedures for Confirmation of Debtors Proposed First Amended Chapter 11 Plan; and (V) Granting Related Relief (Docket No. 789, less Exhibits), Notice of Non-Voting Status to Holders of Claims and Interests in Impaired Classes (Substantially in the form attached as Exhibit 2-1 of the Disclosure Statement Order filed as Docket No. 789), and Notice of Non-Voting Status to Holders of Claims and Interests in Unimpaired Classes (Substantially in the form attached as Exhibit 2-2 of the Disclosure Statement Order filed as Docket No. 789) (related document(s)789, 782, 780) filed by Stretto, Inc.(Klamser, Robert) (Entered: 12/16/2025)
12/16/2025813Letter /Petition Letter to The Honorable David S. Jones Re: Members of the public in support of tenants residing in the buildings owned/managed by Pinnacle Group (AKA Broadway Realty), etc. Filed by Union of Pinnacle Tenants. (Suarez, Aurea) (Entered: 12/16/2025)