2025-03-10 Notice of AgendaIN THE UNITED STATES BANKRUPTCY COURT
FOR THE DISTRICT OF DELAWARE
In re:
SilverRock Development Company, et al.,
Debtors.'
Chapter 11
Case No. 24-11647 (MFW)
(Jointly Administered)
NOTICE OF AGENDA OF MATTERS SCHEDULED FOR
HEARING ON MARCH 12, 2025 10:30 A.M. (EASTERN TIME)
ARING WILL BE C
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1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor's federal tax identification
number, as applicable, are: SilverRock Development Company, LLC (5730), RGC PA 789, LLC (5996), SilverRock
Lifestyle Residences, LLC (0721), SilverRock Lodging, LLC, (4493), SilverRock Luxury Residences, LLC (6598)
and SilverRock Phase 1, LLC (2247). The location of the Debtors' principal place of business and the Debtors'
mailing address is 343 Fourth Avenue, San Diego, CA 92101.
MATTERS GOING FORWARD
1. Motion for Entry of an Order (I) Authorizing and Approving (A) Bid Procedures
and (B) Form and Manner of Notice of Bid Procedures [D.I. 358 Filed February 19,
2025] https://ecf.deb.uscourts.gov/doc1/042022117184
A. Objection Deadline: March 5, 2025 at 4:00 p.m. (ET). Extended to March 7,
2025 for the Office of the United States Trustee, City of La Quinta and various
secured parties.
B. Response(s): Informal comments from the Office of the United States Trustee,
City of La Quinta California, Traub Family Revocable Trust, and various other
creditors.
Limited Objection and Reservation of Rights of Secured Creditor Cypress
Point Holdings, LLC Regarding Motion for Entry of Order(I) Authorizing
and Approving (A) Bid Procedures and (B) Form and Manner of Notice
of Bid Procedures [Filled March 6, 2025 D.I. 380]
https://ecf.deb.uscourts.gov/doc1/042022148509
ii. Joinder and Reservation of Rights of Construction Loan Services II, LLC
d/b/a Builders Capital Regarding Debtors' Proposed Bid Procedures [Filed
March 7, 2025 D.I. 381] https://ecf.deb.uscourts.gov/doc1/042122148806
C. Related Documents:
Status: The Debtors anticipate filing a revised proposed form of order in advance
of the hearing resolving most, if not all of the parties' informal comments and
objections to the current proposed form of order. This matter will be going
forward.
2. Lien Claimants' Motion for Relief from the Automatic Stay, to the Extent
Applicable [D.I. 365 Filed February 24, 2025]
https://ecf.deb.uscourts.gov/cloc1/042022125417
A. Objection Deadline: March 5, 2025 at 4:00 p.m. (ET). Extended to March 7,
2025 for R.D. Olson.
B. Response(s):
i. Debtors' Opposition to Lien Claimants' Motion for Relief from the
Automatic Stay, to the Extent Applicable [D.I. 371 Filed March 5, 2025]
https://ecf.deb.uscourts.gov/doc1/042022145825
ii. Objection, Joinder and Reservation of Rights of City of La Quinta
Regarding Lien Claimants' Motion for Relief from Automatic Stay to the
Extent Applicable [D.I. 372 Filed March 5, 2025]
haps://ecideb.uscourts.gov/doc1/042022145929
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iii. Joinder of Poppy Bank to Oppositions to Lien Claimants' Motion for
Relief From the Automatic Stay, to the Extent Applicable [D.I. 379 Filed
March 6, 2025] https:/lecf.deb.uscourts.gov/doc1/042122147728
iv. Joinder & Reservation of Rights of R.D. Olson Construction, Inc.
Regarding Lien Claimants' Motion for Relief from the Automatic Stay to
the Extent Applicable [D.I. 382 Filed March 7, 2025]
https://ecf.deb.uscourts.gov/doc1/042022149571
v. Lien Claimants Omnibus Reply in Support of the Motion for Relief from
the Automatic Stay, to the Extent Applicable [D.I. 383 Filed March 10,
2025] https://ecf.deb.uscourts.gov/doc1/042022152661
C. Related Documents:
Status: This matter will be going forward.
Dated: March 10, 2025
ARMSTRONG TEASDALE LLP
/s/Jonathan M. Stemerman
Jonathan M. Stemerman (No. 4510)
Eric M. Sutty (No. 4007)
1007 North Market Street, Third Floor
Wilmington, Delaware 19801
Telephone: (302) 416-9670
jstemerman@atllp.com
esutty@atllp.com
-and-
Victor A. Vilaplana (Pro Hac Vice)
823 La Jolla Rancho Rd.
La Jolla, CA 92037
Telephone: (619) 840-4130
vavilaplana@gmail.com
-and-
Benjamin M. Carson (Pro Hac Vice)
5965 Village Way Ste. E105
San Diego, CA 92130
Telephone: (858) 255-4529
ben@benjamincarson.com
Counsel to the Debtors and Debtors in
Possession
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