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11-22820-rdd

Doc 212

Filed 01/13/12

Entered 01/13/12 17:25:06 Pg 1 of 2

Main Document

HEARING DATE: February 15, 2012 HEARING TIME: 10:00 A.M. TARTER KRINSKY & DROGIN LLP Attorneys for The Christian Brothers Institute, et al. Debtors and Debtors-in-Possession 1350 Broadway, 11th Floor New York, New York 10018 (212) 216-8000 Scott S. Markowitz, Esq. Eric H. Horn, Esq. UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK ------------------------------------------------------------------- x In re: : : THE CHRISTIAN BROTHERS INSTITUTE, et al. : : Debtors. : ------------------------------------------------------------------- x

Chapter 11 Case No.: 11-22820 (RDD) (Jointly Administered)

NOTICE OF DEBTORS MOTION, PURSUANT TO SECTIONS 363(b) AND 105(a) OF THE BANKRUPTCY CODE AND BANKRUPTCY RULE 6004, FOR AN ORDER AUTHORIZING THE PRIVATE SALE OF CERTAIN REAL PROPERTY FREE AND CLEAR OF LIENS, CLAIMS, INTERESTS AND ENCUMBRANCES PLEASE TAKE NOTICE, that upon the motion (the "Motion") dated January 13, 2012, of The Christian Brothers of Ireland, Inc. (CBOI), debtor and debtor-in-possession (the Debtor), by its counsel Tarter Krinsky & Drogin LLP, the Debtor shall move before the Honorable Robert D. Drain, United States Bankruptcy Judge, at the United States Bankruptcy Court, Southern District of New York, 300 Quarropas Street, White Plains, New York, on February 15, 2012 at 10:00 a.m., or as soon thereafter as counsel may be heard, for an Order, pursuant to 363(b), 363(f), 363(m) and 105(a) of Title 11 of the United States Code, 1011532, as amended (Bankruptcy Code) and Federal Rule of Bankruptcy Procedure 2002(a)(2) and 6004, authorizing the Debtor to sell the real property known as and located at 9757 S. Seeley Avenue, Chicago, Illinois by private sale, pursuant to a contract of sale annexed to the Motion as

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11-22820-rdd

Doc 212

Filed 01/13/12

Entered 01/13/12 17:25:06 Pg 2 of 2

Main Document

Exhibit C, free and clear of all liens, claims and encumbrances outside the ordinary course of business, and granting related relief; PLEASE TAKE FURTHER NOTICE, that objections, if any, to the relief requested in the Motion shall be (i) filed with the Clerk of the Bankruptcy Court on the Courts ECF system; (ii) served upon Tarter Krinsky & Drogin LLP, counsel for the Debtor, 1350 Broadway, 11th Floor, New York, New York 10018, Attn: Scott S. Markowitz, Esq.; (iii) Pachulski Stang Ziehl & Jones LLP, counsel for the Committee, 780 Third Avenue, 36th Floor, New York , New York 10017, Attn: Ilan D. Scharf, Esq., and (iv) delivered to the chambers of the Honorable Robert D. Drain, United States Bankruptcy Judge, so that same are received on or before 4:00 p.m. on February 8, 2012; PLEASE TAKE FURTHER NOTICE, that if you have no objections to the relief requested in the Motion, you need not appear at the hearing. Dated: New York, New York January 13, 2012 TARTER KRINSKY & DROGIN LLP Attorneys for The Christian Brothers Institute, et al. Debtors and Debtors-in-Possession By: /s/ Scott S. Markowitz Scott S. Markowitz Eric H. Horn 1350 Broadway, 11th Floor New York, New York 10018 (212) 216-8000

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