DORADO PUTT PR, LLC
11
ENRIQUE S. LAMOUTTE INCLAN
10/29/2025
02/13/2026
Yes
v
| DsclsDue, DOC_IN_VAULT |
Assigned to: Bankruptcy Judge ENRIQUE S. LAMOUTTE INCLAN Chapter 11 Voluntary Asset |
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Debtor DORADO PUTT PR, LLC
1250 PONCE DE LEON AVE. STE. 301 SAN JUAN, PR 00907 SAN JUAN-PR Tax ID / EIN: 66-1017729 |
represented by |
ALEXIS FUENTES HERNANDEZ
FUENTES LAW OFFICES, LLC PO BOX 9022726 SAN JUAN, PR 00902 (787) 722-5216 Fax : (787) 483-6048 Email: fuenteslaw@icloud.com |
U.S. Trustee MONSITA LECAROZ ARRIBAS
OFFICE OF THE US TRUSTEE (UST) OCHOA BUILDING 500 TANCA STREET SUITE 301 SAN JUAN, PR 00901 |
| |
U.S. Trustee US TRUSTEE
US TRUSTEE EDIFICIO OCHOA 500 TANCA STREET SUITE 301 SAN JUAN, PR 00901-1922 |
represented by |
JULIO GUZMAN CARCACHE
U.S. Trustee Program 500 Calle Tanca Suite 301 San Juan, PR 00901 787-729-7444 Fax : 787-729-7449 Email: julio.guzman@usdoj.gov |
| Date Filed | # | Docket Text |
|---|---|---|
| 02/13/2026 | 142 | Urgent motion for Leave to File Notice of Intent to Request Redaction Instanter (related document(s):[136]) filed by HERIBERTO J. BURGOS PEREZ on behalf of Promethean Fund IV, LP [BURGOS PEREZ, HERIBERTO] |
| 02/13/2026 | 141 | Chapter 11 Monthly Operating Report for the Month Ending: 01/31/2026. (Attachments: # (1) Exhibit # (2) Exhibit # (3) Exhibit # (4) Exhibit # (5) Exhibit # (6) Exhibit) Filed by ALEXIS FUENTES HERNANDEZ on behalf of DORADO PUTT PR, LLC (FUENTES HERNANDEZ, ALEXIS) |
| 02/11/2026 | 140 | Motion in Compliance with Order to State Position about Extension of Exclusive Period requested by Debtor (DE 137) and Request to Extend Deadline to Object to Disclosure Statement (RE: related document(s)[138]). Filed by HERIBERTO J. BURGOS PEREZ on behalf of Promethean Fund IV, LP (BURGOS PEREZ, HERIBERTO) |
| 01/31/2026 | 139 | Certificate of service (RE: related document(s)[138]) Notice Date 01/31/2026. (Admin.) |
| 01/29/2026 | 138 | ORDER: Parties in interest are to state their position within fourteen (14) days as to Debtors motion requesting entry of order modifying previous order and/or extend exclusivity periods filed on January 27, 2026 (docket #137). Signed on 1/29/2026. Order due by 2/12/2026. (RE: related document(s)[137]).(HERNANDEZ ALEJANDRO, CYBELLE) |
| 01/27/2026 | 137 | Motion requesting entry of order modifying previous order and/or to extend exclusivity periods (related document(s): [129], [132]) filed by ALEXIS FUENTES HERNANDEZ on behalf of DORADO PUTT PR, LLC [FUENTES HERNANDEZ, ALEXIS] |
| 01/26/2026 | 136 | Transcript regarding Hearing Held 01/13/26 RE: Motion Hearing. THIS TRANSCRIPT WILL BE MADE ELECTRONICALLY AVAILABLE TO THE GENERAL PUBLIC 90 DAYS AFTER THE DATE OF FILING, TRANSCRIPT RELEASE DATE IS 04/27/2026. Until that time the transcript may be viewed at the Bankruptcy Court or a copy may be obtained from the official court transcriber. Court Reporter/Transcriber eScribers, LLC, Telephone number 800-257-0885.. Notice of Intent to Request Redaction Due by 2/2/2026. Redaction Request Due By 02/17/2026. Redacted Transcript Submission Due By 02/26/2026. Transcript access will be restricted through 04/27/2026. (GOTTLIEB, JASON) |
| 01/24/2026 | 135 | Certificate of service (RE: related document(s)[133]) Notice Date 01/24/2026. (Admin.) |
| 01/23/2026 | 134 | Certificate of service (RE: related document(s)[132]) Notice Date 01/23/2026. (Admin.) |
| 01/22/2026 | 133 | MINUTES OF EVIDENTIARY HEARING HELD ON JANUARY 13, 2026: The court stated for the record that the parties are represented by competent counsel and that no proofs of claim have been filed. The court asked the following questions, to which it requested no response: First, why did the Debtor and the Gadamses request mediation (dkt. #106) but oppose arbitration? Second, whether the note(s) executed by Frank Gadams is property of the bankruptcy estate? The court stated that although the matter requires further analysis, it read the motions filed, understands the position of the parties, and it appears that the critical facts are uncontested. The court noted that there are five (5) pending matters in this case: the motion to lift the automatic stay, the motion to reject executory contract, the request to enforce the automatic stay in favor of the Gadamses, the motion to dismiss, and the disclosure statement. Counsel for the Debtor stated that arbitration is a full-blown litigation, whereas mediation is settlement negotiation. Thus, why they requested mediation and oppose arbitration. Counsel for the Debtor also stated that the notes are property of the bankruptcy estate, and that the Debtor never requested that the stay be extended to the Gadamses. Counsel for the Debtor argues that they argued the stay was violated because Promethean pursued causes of action against the Gadamses that belong to the Debtor. The court inquired whether the parties had been unable to reach a settlement agreement as to the matters before the court. Counsel for the Gadamses answered in the affirmative. The matter was taken under advisement. (PLEASE REFER TO MINUTES FOR FULL DETAILS) (Re: related document(s)[91], [112], [118]).(ZAYAS BOUJOUEN, DARHMA) |