parties receiving notice of this omnibus objection …

36
Hearing Date and Time: June 30, 2010 at 11:00 a.m. (prevailing Eastern Time) Response Deadline: June 23, 2010 at 4:00 p.m. (prevailing Eastern Time) US_ACTIVE:\43394593\03\76023.0003 PARTIES RECEIVING NOTICE OF THIS OMNIBUS OBJECTION SHOULD REVIEW THE OMNIBUS OBJECTION TO SEE IF THEIR NAME(S) AND/OR CLAIM(S) ARE LOCATED IN THE OMNIBUS OBJECTION AND/OR IN THE EXHIBIT ATTACHED THERETO. WEIL, GOTSHAL & MANGES LLP 767 Fifth Avenue New York, New York 10153 Telephone: (212) 310-8000 Facsimile: (212) 310-8007 Lori R. Fife Shai Y. Waisman Attorneys for Debtors and Debtors in Possession UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK ---------------------------------------------------------------x : In re : Chapter 11 Case No. : STONE BARN MANHATTAN LLC : (f/k/a Steve & Barry’s Manhattan LLC), et al. , : 08-12579 (ALG) : Debtors. : (Jointly Administered) : ---------------------------------------------------------------x NOTICE OF THE DEBTORS’ FOURTEENTH OMNIBUS OBJECTION TO CLAIMS (Amended and Superseded Claims) PLEASE TAKE NOTICE that on May 24, 2010, Stone Barn Manhattan LLC (formerly known as Steve & Barry’s Manhattan LLC) and certain of its affiliates, as debtors and debtors in possession in the above referenced chapter 11 cases (collectively, the “Debtors ”) filed their fourteenth omnibus objection to Claims (the “Omnibus Objection ”). PARTIES RECEIVING THIS NOTICE OF OMNIBUS OBJECTION SHOULD REVIEW THE OMNIBUS OBJECTION TO SEE IF THEIR NAME(S) AND/OR CLAIM(S) ARE LOCATED IN THE OMNIBUS OBJECTION AND/OR IN THE EXHIBIT ATTACHED THERETO. PLEASE TAKE FURTHER NOTICE that the Omnibus Objection has been electronically filed with the Clerk of the Bankruptcy Court and may be examined and inspected by interested parties on (i) the Court’s website (http://www.nysb.uscourts.gov) or (ii) accessing

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Page 1: PARTIES RECEIVING NOTICE OF THIS OMNIBUS OBJECTION …

Hearing Date and Time: June 30, 2010 at 11:00 a.m. (prevailing Eastern Time) Response Deadline: June 23, 2010 at 4:00 p.m. (prevailing Eastern Time)

US_ACTIVE:\43394593\03\76023.0003

PARTIES RECEIVING NOTICE OF THIS OMNIBUS OBJECTION SHOULD REVIEW THE OMNIBUS OBJECTION TO

SEE IF THEIR NAME(S) AND/OR CLAIM(S) ARE LOCATED IN THE OMNIBUS OBJECTION AND/OR IN THE EXHIBIT ATTACHED THERETO.

WEIL, GOTSHAL & MANGES LLP 767 Fifth Avenue New York, New York 10153 Telephone: (212) 310-8000 Facsimile: (212) 310-8007 Lori R. Fife Shai Y. Waisman Attorneys for Debtors and Debtors in Possession

UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK ---------------------------------------------------------------x : In re : Chapter 11 Case No. : STONE BARN MANHATTAN LLC : (f/k/a Steve & Barry’s Manhattan LLC), et al., : 08-12579 (ALG) : Debtors. : (Jointly Administered) : ---------------------------------------------------------------x

NOTICE OF THE DEBTORS’ FOURTEENTH OMNIBUS OBJECTION TO CLAIMS

(Amended and Superseded Claims)

PLEASE TAKE NOTICE that on May 24, 2010, Stone Barn Manhattan LLC (formerly known as Steve & Barry’s Manhattan LLC) and certain of its affiliates, as debtors and debtors in possession in the above referenced chapter 11 cases (collectively, the “Debtors”) filed their fourteenth omnibus objection to Claims (the “Omnibus Objection”). PARTIES RECEIVING THIS NOTICE OF OMNIBUS OBJECTION SHOULD REVIEW THE OMNIBUS OBJECTION TO SEE IF THEIR NAME(S) AND/OR CLAIM(S) ARE LOCATED IN THE OMNIBUS OBJECTION AND/OR IN THE EXHIBIT ATTACHED THERETO. PLEASE TAKE FURTHER NOTICE that the Omnibus Objection has been electronically filed with the Clerk of the Bankruptcy Court and may be examined and inspected by interested parties on (i) the Court’s website (http://www.nysb.uscourts.gov) or (ii) accessing

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the website maintained by the Debtors in connection with these chapter 11 cases http://chapter11.epiqsystems.com/steveandbarrys. Please note that a PACER password is needed to access documents on the Court’s website. PLEASE TAKE FURTHER NOTICE that responses, if any, to the Omnibus Objection must be in writing, must conform to the Federal Rules of Bankruptcy Procedure (the “Bankruptcy Rules”), the Local Rules of the Bankruptcy Court for the Southern District of New York, and the Order, Pursuant to Section 105(a) of the Bankruptcy Code and Bankruptcy Rules 1015(c) and 9007, Implementing Certain Notice and Case Management Procedures, entered on July 10, 2008 [Docket No. 54], must be filed with the Bankruptcy Court electronically in accordance with General Order M-242 (General Order M-242 and the User’s Manual for the Electronic Case Filing System may be found at www.nysb.uscourts.gov, the official website for the Bankruptcy Court) by registered users of the Bankruptcy Court’s case filing system, and by all other parties in interest on a 3.5 inch disk, preferably in Portable Document Format (PDF), WordPerfect, or any other Windows-based word processing format (with a hard copy delivered directly to Chambers), in accordance with General Order M-182, and any response must further be served upon: (i) Weil, Gotshal & Manges LLP, 767 Fifth Avenue, New York, New York 10153 (Attn: Shai Y. Waisman, Esq. and Jessica Liou, Esq.); (ii) Cooley LLP, 1114 Avenue of the Americas New York, New York 10036-7798 (Attn: Brent Weisenberg, Esq.); and (iii) the Office of the United States Trustee, 33 Whitehall Street, 22nd floor, New York, New York 10004 (Attn: Paul K. Schwartzberg, Esq.) so as to actually be filed and be received no later than June 23, 2010 at 4:00 p.m. (prevailing Eastern Time). PLEASE TAKE FURTHER NOTICE that a hearing with respect to the Omnibus Objection will be held before the Honorable Allan L. Gropper, United States Bankruptcy Judge, in Room 617 of the United States Bankruptcy Court for the Southern District of New York, Alexander Hamilton Custom House, One Bowling Green, New York, New York 10004, on June 30, 2010 at 11:00 a.m. (prevailing Eastern Time) (the “Hearing”), or as soon thereafter as counsel can be heard, to consider the Omnibus Objection. Failure to file a response and appear at the Hearing can result in the Omnibus Objection being granted on default.

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PLEASE TAKE FURTHER NOTICE that if you have questions about the Omnibus Objection or would like to resolve an objection to your claim prior to the Hearing, please contact Jessica Liou, Esq. at (212) 310-8817 or [email protected]. Dated: May 24, 2010 New York, New York

/s/ Shai Y. Waisman Lori R. Fife Shai Y. Waisman WEIL, GOTSHAL & MANGES LLP 767 Fifth Avenue New York, New York 10153 Telephone: (212) 310-8000 Facsimile: (212) 310-8007 Attorneys for Debtors and Debtors in Possession

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Hearing Date and Time: June 30, 2010 at 11:00 a.m. (prevailing Eastern Time) Response Deadline: June 23, 2010 at 4:00 p.m. (prevailing Eastern Time)

PLEASE CAREFULLY REVIEW THIS OMNIBUS OBJECTION AND THE ATTACHMENTS HERETO TO DETERMINE WHETHER THIS OMNIBUS

OBJECTION AFFECTS YOUR CLAIM(S).

US_ACTIVE:\43394593\03\76023.0003

WEIL, GOTSHAL & MANGES LLP 767 Fifth Avenue New York, New York 10153 Telephone: (212) 310-8000 Facsimile: (212) 310-8007 Lori R. Fife Shai Y. Waisman Attorneys for Debtors and Debtors in Possession UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK ---------------------------------------------------------------x : In re : Chapter 11 Case No. : STONE BARN MANHATTAN LLC : (f/k/a Steve & Barry’s Manhattan LLC), et al., : 08-12579 (ALG) : Debtors. : (Jointly Administered) : ---------------------------------------------------------------x

DEBTORS’ FOURTEENTH OMNIBUS OBJECTION TO CLAIMS (Amended and Superseded Claims)

TO THE HONORABLE ALLAN L. GROPPER, UNITED STATES BANKRUPTCY JUDGE:

Stone Barn Manhattan LLC (formerly known as Steve & Barry’s Manhattan

LLC) and certain of its affiliates, as debtors and debtors in possession (collectively, the

“Debtors”), respectfully represent:

Background

1. On July 9, 2008 (the “Petition Date”), the Debtors filed voluntary petitions

for relief under chapter 11 of title 11 of the United States Code (the “Bankruptcy Code”). The

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Debtors continue to operate their businesses as debtors in possession pursuant to sections

1107(a) and 1108 of the Bankruptcy Code.

2. On July 17, 2008, pursuant to section 1102 of the Bankruptcy Code, the

United States Trustee for the Southern District of New York (the “U.S. Trustee”) appointed a

statutory committee of unsecured creditors (the “Creditors’ Committee”).

3. Pursuant to an order of the Court dated July 10, 2009 [Docket No. 51], the

Debtors retained Epiq Bankruptcy Solutions, LLC (“Epiq”) as their claims agent.

4. On May 20, 2010, the Court entered an order confirming the joint chapter

11 plan proposed by the Debtors and the Creditors’ Committee (the “Confirmed Plan”). The

effective date of the Confirmed Plan has not yet occurred.

Jurisdiction

5. This Court has jurisdiction to consider this application pursuant to 28

U.S.C. §§ 157 and 1334. This is a core proceeding pursuant to 28 U.S.C. § 157(b). Venue is

proper before this Court pursuant to 28 U.S.C. §§ 1408 and 1409.

The Bar Dates

6. On November 13, 2008, the Court entered an order (the “Bar Date Order”)

[Docket No. 1073] establishing: (i) December 29, 2008 at 5:00 p.m. (Eastern Time) (the

“General Bar Date”) as the last date and time for creditors, other than governmental units, to

timely file proofs of claim (each a “Proof of Claim”) based on prepetition claims against the

Debtors; (ii) January 5, 2009 at 5:00 p.m. (Eastern Time) (the “Governmental Bar Date”) as the

last date and time for governmental units (as defined in section 101(27) of the Bankruptcy Code)

to timely file Proofs of Claim against the Debtors; and (iii) the later of (a) December 29, 2008 at

5:00 p.m. (Eastern Time) and (b) thirty (30) days after the occurrence of the event giving rise to a

claim pursuant to section 503 of the Bankruptcy Code, including, without limitation, a claim

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pursuant to section 503(b)(9) of the Bankruptcy Code, (the “Administrative Expense Bar Date”)

as the last date and time for creditors to timely file requests for payment of such claims (other

than certain ordinary course claims) (each an “Administrative Expense Claim”).

7. On April 6, 2009, the Court entered an order [Docket No. 1585]

establishing May 20, 2009 at 5:00 p.m. (Eastern Time) (the “Administrative Ordinary Course

Bar Date,” and together with the Administrative Expense Bar Date, the General Bar Date, and

the Governmental Bar Date, the “Bar Dates”) as the last date and time for creditors, including

governmental units, to file requests for payment of administrative expense claims that arose

during the chapter 11 case in the ordinary course of the administration thereof (each an

“Administrative Ordinary Course Claim”).

8. Pursuant to the Bar Date Orders, the Debtors mailed notices of the Bar

Dates (the “Bar Date Notices”) to more than 40,000 parties in interest. In response to the Bar

Date Notices, approximately 5,500 Proofs of Claim, Administrative Expense Claims, and

Administrative Ordinary Course Claims (collectively, the “Claims”) have been filed in these

cases. The Bar Date Notices mailed to parties in interest provided adequate and sufficient notice

of the Bar Dates.

Objection to Claims

9. On August 6, 2009, the Court entered an order (the “Omnibus Objection

Order”) [Docket No. 1716] authorizing, among other things, the Debtors to file omnibus

objections to claims on certain grounds, including that such claims have been amended by

subsequently filed proofs of claim.

10. Pursuant to the Omnibus Objection Order, the Debtors object to each

Claim identified as an “Amended Claim” on Exhibit A attached hereto. The Debtors have

reviewed and determined that each Amended Claim is not a valid claim because the holder of

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each such claim filed a subsequent Proof of Claim, which was intended or presumably intended

to amend and/or supersede the previously filed claim.1

11. If the Amended Claims were to be allowed as filed, the result would be

duplicative claims and improper recoveries by claimants. Accordingly, the Debtors request the

Court enter an order, substantially in the form as Exhibit B attached hereto, disallowing and

expunging in its entirety each Amended Claim. Each claim identified as a “Remaining Claim”

on Exhibit A shall be preserved without prejudice to the Debtors’ right to object to such claims

on any other grounds.

12. To the extent that any Amended Claim which is disallowed and expunged

contains attachments not contained in the Remaining Claim, the Debtors shall treat such

attachments as if they are attached to the Remaining Claim.

Reservation of Rights

13. As the Debtors continue to analyze and reconcile Claims, the Debtors

intend to file additional objections and omnibus objections as appropriate. The Debtors limit this

omnibus objection to the grounds stated herein and reserve all rights and defenses, including,

among other things, the right to further object to any of the Claims referenced herein on any

basis.

Notice

14. The Debtors have served this omnibus objection on (i) each claimant

identified on Exhibit A attached hereto, (ii) the United States Trustee for the Southern District of

New York, (iii) counsel to the Creditors’ Committee, and (iv) those parties included on the

1 Based on the Debtors’ review of the Claims, certain Claims appear to have been amended and/or superseded, although not specifically marked as such on the face of the document. These Claims are included on Exhibit A.

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master service list on file in these chapter 11 cases. The Debtors submit that no other or further

notice need be provided.

15. Other than the Debtors’ First Omnibus Objection to Claims [Docket No.

1732]; Second Omnibus Objection to Claims [Docket No. 1733]; Third Omnibus Objection to

Claims [Docket No. 1734]; Fourth Omnibus Objection to Claims [Docket No. 1735]; Fifth

Omnibus Objection to Claims [Docket No. 1736]; Sixth Omnibus Objection to Claims [Docket

No. 1785]; Seventh Omnibus Objection to Claims [Docket No. 1787]; Eighth Omnibus

Objection to Claims [Docket No. 1788]; Ninth Omnibus Objection to Claims [Docket No. 1789];

Tenth Omnibus Objection to Claims [Docket No. 1939]; Eleventh Omnibus Objection to Claims

[Docket No. 1960]; Twelfth Omnibus Objection to Claims [Docket No. 1984]; and Thirteenth

Omnibus Objection to Claims [Docket No. 1994], no previous request for the relief sought herein

has been made to this or any other Court.

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WHEREFORE the Debtors respectfully request entry of an order granting the

relief requested herein and such other and further relief as the Court may deem just and

appropriate.

Dated: May 24, 2010 New York, New York

/s/ Shai Y. Waisman Lori R. Fife Shai Y. Waisman WEIL, GOTSHAL & MANGES LLP 767 Fifth Avenue New York, New York 10153 Telephone: (212) 310-8000 Facsimile: (212) 310-8007 Attorneys for Debtors and Debtors in Possession

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Exhibit A

Amended Claims, to be expunged in their entirety

Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

1 ACCESS AMERICA TRANSPORT 2515 EAST 43RD STREET CHATTANOOGA,, TN 37407

1029 19,784.90 This claim was amended/superseded by the Remaining Claim.

5117

2 AMERENCILCO CREDIT & COLLECTIONS 2105 E. STATE ROUTE 104 PAWNEE, IL 62558

122 17,508.14 This claim was amended/superseded by the Remaining Claim.

5327

3 ASAP DRAIN GUYS & PLUMBING, INC. 2604B EL CAMINO REAL #183 CARLSBAD, CA 92008-1214

400 348.00 This claim was amended/superseded by the Remaining Claim.

2422

4 AT&T ATTN JAMES GRUDUS, ESQ., ATTORNEY ONE AT&T WAY, ROOM 3A218 BEDMINSTER, NJ 07921

376 6,171.38 This claim was amended/superseded by the Remaining Claim.

771

5 AT&T ATTN JAMES GRUDUS, ESQ., ATTORNEY ONE AT&T WAY, ROOM 3A218 BEDMINSTER, NJ 07921

771 7,075.22 This claim was amended/superseded by the Remaining Claim.

5616

6 AUTOMATIC DOOR CONTROLS PO BOX 308 ROANOKE, IN 46783

13 763.74 This claim was amended/superseded by the Remaining Claim.

1058

7 B & G PROPERTY MANAGEMENT, LP MICHAEL O'NEAL WARNER NORCROSS & JUDD LLP 900 FIFTH THIRD CTR., 111 LYON ST. NW GRAND RAPIDS, MI 49503-2487

637 355,708.86 This claim was amended/superseded by the Remaining Claim.

2504

8 BG MIDWEST CAPITAL INVESTMENT GROUP, LLC MIDWEST PALAMARA, DELBARS GROUP MICHAEL O'NEAL, WARNER NORCROSS & JUDD 111 LYON STREET, NW SUITE 900 GRAND RAPIDS, MI 49503

2502 54,703.12 This claim was amended/superseded by the Remaining Claim.

5009

9 BT ORLANDO LIMITED PARTNERSHIP C/O STEPHEN WARSH GENERAL GROWTH PROPERTIES, INC. 110 NORTH WACKER DRIVE BSC 1-26 CHICAGO, IL 60606

718 38,191.57 This claim was amended/superseded by the Remaining Claim.

1199

10 BURBANK MALL ASSOCIATES, LLC C/O STEPHEN WARSH GENERAL GROWTH PROPERTIES, INC. 110 NORTH WACKER DRIVE BSC 1-26 CHICAGO, IL 60606

717 43,014.95 This claim was amended/superseded by the Remaining Claim.

1202

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

11 CLERMONT COUNTY ATTN J. ROBERT TRUE, TREASURER 101 E. MAIN STREET BATAVIA, OH 45103

188 59.84 This claim was amended/superseded by the Remaining Claim.

610

12 COLUMBUS WATER WORKS P.O. BOX 1600 COLUMBUS, GA 31902-1600

1102 241.49 This claim was amended/superseded by the Remaining Claim.

5314

13 CONEDISON SOLUTIONS INC. ATTN: ZURINE GEOGHEGAN 701 WESTCHESTER AVENUE 300E WHITE PLAINS, NY 10604

1623 36,532.11 This claim was amended/superseded by the Remaining Claim.

5650

14 CONSOLIDATED CONCESSION SUPPLIES, INC. 250 FULTON AVENUE NEW HYDE PARK, NY 11040

512 276,859.32 This claim was amended/superseded by the Remaining Claim.

677

15 CONSOLIDATED EDISON CO. OF NY, INC. BANKRUPTCY GROUP 4 IRVING PLACE NEW YORK, NY 10003

116 4,600.80 This claim was amended/superseded by the Remaining Claim.

793

16 CPS TEXTILES (P) LTD LAKSHMI GARDEN KANGAYAM ROAD TIRUPUR, INDIA

104 393,934.94 This claim was amended/superseded by the Remaining Claim.

2542

17 DENISE WILLIAMS V STEVE & BARRYS IL LLC DBA STEVE & BARRYS UNIV SPORTSWEAR LAW OFFICES OF RENEE T. VOGT 134 N. LASALLE, STE 1010 CHICAGO, IL 60602

2409 100,000.00 This claim was amended/superseded by the Remaining Claim.

5187

18 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3472 187,771.49 This claim was amended/superseded by the Remaining Claim.

5153

19 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. – BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3473 187,771.49 This claim was amended/superseded by the Remaining Claim.

5140

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

20 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3474 187,771.49 This claim was amended/superseded by the Remaining Claim.

5142

21 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3475 187,771.49 This claim was amended/superseded by the Remaining Claim.

5141

22 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3476 187,771.49 This claim was amended/superseded by the Remaining Claim.

5139

23 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3477 187,771.49 This claim was amended/superseded by the Remaining Claim.

5144

24 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3478 187,771.49 This claim was amended/superseded by the Remaining Claim.

5143

25 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3479 187,771.49 This claim was amended/superseded by the Remaining Claim.

5145

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

26 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3480 187,771.49 This claim was amended/superseded by the Remaining Claim.

5146

27 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3481 187,771.49 This claim was amended/superseded by the Remaining Claim.

5147

28 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3482 187,771.49 This claim was amended/superseded by the Remaining Claim.

5148

29 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3483 187,771.49 This claim was amended/superseded by the Remaining Claim.

5149

30 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3484 187,771.49 This claim was amended/superseded by the Remaining Claim.

5150

31 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3485 187,771.49 This claim was amended/superseded by the Remaining Claim.

5151

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

32 DEVELOPERS DIVERSIFIED REALTY, ET AL C/O JEFF MEYERS BALLARD SPAHR ANDREWS & INGERSOLL, LLP 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3486 187,771.49 This claim was amended/superseded by the Remaining Claim.

5152

33 DIVISION AVE CATERERS ATTN: BRIAN DEVINE 44 DIVISION AVE LEVITTOWN, NY 11756

587 28,314.00 This claim was amended/superseded by the Remaining Claim.

5614

34 DUNBAR ARMORED 50 SCHILLING ROAD HUNT VALLEY, MD 21031

208 1,103.53 This claim was amended/superseded by the Remaining Claim.

5356

35 DUNLAP TRUCKING SERVICES, LLC MYRON DUNLAP C/O THOMPSON LAW GROUP, P.C. 2321 E SPEEDWAY BLVD TUCSON, AZ 85719

349 15,227.80 This claim was amended/superseded by the Remaining Claim.

1437

36 EASTEND EXPORTS 2783/2 SUNDER NAGAR, LUDHIANA PUNJAB, 141007 INDIA

139 230,845.40 This claim was amended/superseded by the Remaining Claim.

1083

37 EASTEND EXPORTS 2783/2 SUNDER NAGAR, LUDHIANA PUNJAB, 141007 INDIA

1083 148,750.40 This claim was amended/superseded by the Remaining Claim.

1493

38 EASTFIELD ASSOCIATES, LLC, ATTN: JEFFREY S. TAYLOR, MNGNG DIR C/O MOUNTAIN DEVELOPMENT CORP. 100 DELAWANNA AVENUE, SUITE 100 CLIFTON, NJ 07014

2510 48,356.23 This claim was amended/superseded by the Remaining Claim.

2511

39 FANTAS EYES, INC 380 BERGEN AVENUE KEARNY, NJ 07032

511 138,133.20 This claim was amended/superseded by the Remaining Claim.

4934

40 FIORIDNO, STEVEN ET AL MARK BRADSHAW SHULMAN HODGES & BRASTIAN LLP 26632 TOWNE CENTER DRIVE, SUITE 300 FOOTHILL RANCH, CA 92610

357 unliquidated This claim was amended/superseded by the Remaining Claim.

3284

41 FIORINDO, STEVE MARK BRADSHAW, ESQ. SHULMAN HODGES & BASTIAN LLP 26632 TOWNE CENTER DRIVE, # 300 FOOTHILL RANCH, CA 92610

3284 1,972,536.70 This claim was amended/superseded by the Remaining Claim.

4824

42 FORD MODELS, INC. PO BOX 29629 NEW YORK, NY 10087-9629

10 3,516.00 This claim was amended/superseded by the Remaining Claim.

829

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

43 FOREST CITY COMMERCIAL MANAGEMENT, INC. AGENT FOR CHARLESTON TOWN CENTER SPE LLC 50 PUBLIC SQUARE, SUITE 1360 CLEVELAND, OH 44113

117 85,635.61 This claim was amended/superseded by the Remaining Claim.

1051

44 G & M CHATTANOOGA AND SLOVIS CHATTANOOGA LLC ATTN: LGL DEPT, C/O HAWKINS COMPANIES 855 W. BROAD ST, STE 300 BOISE, ID 83702

1217 55,335.00 This claim was amended/superseded by the Remaining Claim.

5047

45 GGP-BRASS MILL, INC. C/O STEPHEN WARSH GENERAL GROWTH PROPERTIES, INC. 110 NORTH WACKER DRIVE BSC 1-26 CHICAGO, IL 60606

716 49,485.52 This claim was amended/superseded by the Remaining Claim.

1023

46 GGP-MORENO VALLEY, INC. C/O STEPHEN WARSH GENERAL GROWTH PROPERTIES, INC. 110 NORTH WACKER DRIVE BSC 1-26 CHICAGO, IL 60606

720 1,174,432.08 This claim was amended/superseded by the Remaining Claim.

1201

47 GLIMCHER PROPERTIES LIMITED PARTNERSHIP SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5495 62,796.02 This claim was amended/superseded by the Remaining Claim.

5642

48 GLIMCHER PROPERTIES LIMITED PARTNERSHIP SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5497 560,066.04 This claim was amended/superseded by the Remaining Claim.

5642

49 GLIMCHER PROPERTIES LIMITED PARTNERSHIP SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5501 20,117.65 This claim was amended/superseded by the Remaining Claim.

5643

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

50 GLIMCHER PROPERTIES LIMITED PARTNERSHIP SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5503 179,408.28 This claim was amended/superseded by the Remaining Claim.

5643

51 GRAND CENTRAL LIMITED PARTNERSHIP SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5507 75,139.17 This claim was amended/superseded by the Remaining Claim.

5646

52 GRAND CENTRAL LIMITED PARTNERSHIP SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5510 540,078.00 This claim was amended/superseded by the Remaining Claim.

5646

53 H/S WILSON, LLC HULL STOREY GIBSON COMPANIES, LLC C/O ASHLEY DOLCE, CLAIMS MANAGER 1190 INTERSTATE PARKWAY AUGUSTA, GA 30909

545 51,563.87 This claim was amended/superseded by the Remaining Claim.

1513

54 HALLMARK INDUSTRIES 451/A-1, SHAH & NAHAR INDUSTRIAL ESTATE LOWER PAREL MUMBAI, 400-013

66 279,795.25 This claim was amended/superseded by the Remaining Claim.

510

55 HALLMARK INDUSTRIES 451/A-1, SHAH & NAHAR INDUSTRIAL ESTATE LOWER PAREL MUMBAI, 400-013 INDIA

510 279,795.25 This claim was amended/superseded by the Remaining Claim.

4807

56 HANDYMAN MATTERS NORTH 1701 NORTHPARK DR STE 6 KINGWOOD, TX 773391642

5019 810.69 This claim was amended/superseded by the Remaining Claim.

5020

57 HAWAII TRANSFER CO., LTD. P.O. BOX 665 PEARL CITY, HI 96782

142 19,060.82 This claim was amended/superseded by the Remaining Claim.

1284

58 HILLCREST SHOPPING CENTER, INC. J.J. GUMBERG CO.- BRINTON EXE CT 1051 BRINTON RD PITTSBURGH, PA 15221-4599

1119 583,731.70 This claim was amended/superseded by the Remaining Claim.

3277

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

59 JEFFCO CONCRETE CONTRACTORS INC 10945 COMMERCIAL DR TUSCALOOSA, AL 35405

843 1,000.00 This claim was amended/superseded by the Remaining Claim.

5363

60 JJ GARMENT LIMITED ROOM 801, NO. 251, XIAOMUQIAO RD., XUHUI DISTRICT SHANGHAI, 200032 CHINA

731 2,207,810.83 This claim was amended/superseded by the Remaining Claim.

1432

61 JONATHAN DINOLFO D/B/A JED ELECTRICAL SERVICES 114 HICKORY LANE LEVITTOWN, NY 11756

711 3,325.00 This claim was amended/superseded by the Remaining Claim.

1276

62 KEYSTONE AUTOMATIC DOOR ENTERPRISES PO BOX 861 LANSDALE, PA 19446

487 2,392.84 This claim was amended/superseded by the Remaining Claim.

1793

63 LANDESMAN BROS INC 16 MCCARTHY RD ISLAND PARK, NY 11558

32 5,674.30 This claim was amended/superseded by the Remaining Claim.

997

64 LANDESMAN BROS INC 16 MCCARTHY RD ISLAND PARK, NY 11558

44 5,674.30 This claim was amended/superseded by the Remaining Claim.

1452

65 LANDESMAN BROS INC 16 MCCARTHY RD ISLAND PARK, NY 11558

997 5,674.30 This claim was amended/superseded by the Remaining Claim.

1452

66 LOIS ROSENBERG CONSULTANTS, INC. 303 GREENWICH STREET, # 2D NEW YORK, NY 10013

2892 1,007.05 This claim was amended/superseded by the Remaining Claim.

4980

67 MICHIGAN DEPARTMENT OF TREASURY ATTN JUANDISHA M HARRIS, ASST. ATTY GEN. CADILLAC PLACE, STE. 10-200 3030 W. GRAND BLVD DETROIT, MI 48202

389 16,126.68 This claim was amended/superseded by the Remaining Claim.

4997

68 MORGANTOWN MALL ASSOCIATES L.P. SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5511 27,922.55 This claim was amended/superseded by the Remaining Claim.

5645

69 MORGANTOWN MALL ASSOCIATES L.P. SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FL COLUMBUS, OH 43215

5514 249,012.00 This claim was amended/superseded by the Remaining Claim.

5645

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

70 NORTHWEST PLAZA, LLC C/O STEPHEN WARSH GENERAL GROWTH PROPERTIES, INC. 110 NORTH WACKER DRIVE BSC 1-26 CHICAGO, IL 60606

721 84,919.35 This claim was amended/superseded by the Remaining Claim.

1024

71 OTIS ELEVATOR COMPANY ATTN TREASURY SERVICES 1 FARM SPRINGS RD FARMINGTON, CT 06032-9816

29 30,917.00 This claim was amended/superseded by the Remaining Claim.

28

72 PECO PECO ENERGY COMPANY ATTN MICHAEL P MURPHY, S222-1 2301 MARKET STREET PHILADELPHIA, PA 19103

201 3,911.68 This claim was amended/superseded by the Remaining Claim.

5620

73 PENNINGTON CONSTRUCTION COMPANY P O BOX 12117 OKLAHOMA CITY, OK 73157-2117

870 280.00 This claim was amended/superseded by the Remaining Claim.

5478

74 PEPCO ENERGY SERVICES, INC. EULER HEMES ACI, AGENT 800 RED BROOK BOULEVARD OWINGS MILLS, MD 21117

371 186,729.53 This claim was amended/superseded by the Remaining Claim.

5302

75 PIEDMONT NATURAL GAS BANKRUTPCY 4339 S. TRYON STREET CHARLOTTE, NC 28217-1733

509 66.22 This claim was amended/superseded by the Remaining Claim.

575

76 POTOMAC ELECTRIC POWER COMPANY PEPCO PO BOX 97274 WASHINGTON, DC 20090-7274

599 4,897.32 This claim was amended/superseded by the Remaining Claim.

2387

77 PROFESSIONAL RETAIL SERVICES INC. BRAVERMAN LAW OFFICE PC 50 CHARLES LINDBERGH BLVD., SUITE 400 UNIONDALE, NY 11553

5487 38,995.00 This claim was amended/superseded by the Remaining Claim.

5557

78 PUTIAN MUNICIPAL NEW DEV. GIFT CO., LTD. WELTMAN WEINBERG & REIS CO. LPA 175 S. 3RD STREET, STE 900 COLUMBUS, OH 43215

429 566,203.50 This claim was amended/superseded by the Remaining Claim.

4749

79 RVM GLIMCHER, LLC SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5498 35,882.67 This claim was amended/superseded by the Remaining Claim.

5644

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

80 RVM GLIMCHER, LLC SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5500 320,000.04 This claim was amended/superseded by the Remaining Claim.

5644

81 SAYBROOK ASSOCIATES INC. BOX 21 CENTERBROOK, CT 06409

19 1,890.00 This claim was amended/superseded by the Remaining Claim.

1459

82 SHANGHAI JIANPU IMPORT & EXPORT CO., LTD MR. YU YI XI RM. 207, BLD, ZIJINHANGONG, NO. 1035 NAN QUAN RD. (N.) SHANGHAI, CHINA

337 158,484.68 This claim was amended/superseded by the Remaining Claim.

529

83 SHANGHAI NEAR INTERNATIONAL TRADING CO ATTN: ZENG XI YU/VIVIEN B-1701,NO.55,YI SHAN ROAD SHANGHAI, 200030 CHINA

1505 592.40 This claim was amended/superseded by the Remaining Claim.

5169

84 SINOMAX INTERNATIONAL (HK) LTD. KLESTADT & WINTERS, LLP 292 MADISON AVENUE, 17TH FLOOR NEW YORK, NY 10017

709 287,933.58 This claim was amended/superseded by the Remaining Claim.

3295

85 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3201 547,167.50 This claim was amended/superseded by the Remaining Claim.

5565

86 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3202 547,167.50 This claim was amended/superseded by the Remaining Claim.

5566

87 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3203 547,167.50 This claim was amended/superseded by the Remaining Claim.

5567

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

88 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3204 547,167.50 This claim was amended/superseded by the Remaining Claim.

5568

89 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3205 547,167.50 This claim was amended/superseded by the Remaining Claim.

5569

90 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3206 547,167.50 This claim was amended/superseded by the Remaining Claim.

5570

91 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3207 547,167.50 This claim was amended/superseded by the Remaining Claim.

5571

92 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3208 547,167.50 This claim was amended/superseded by the Remaining Claim.

5572

93 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3209 547,167.50 This claim was amended/superseded by the Remaining Claim.

5573

94 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3210 547,167.50 This claim was amended/superseded by the Remaining Claim.

5574

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

95 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3211 547,167.50 This claim was amended/superseded by the Remaining Claim.

5575

96 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3212 547,167.50 This claim was amended/superseded by the Remaining Claim.

5576

97 SUPER STORE SUPPLIES (HK) LIMITED RM 607, 6/F YUEN SHEG CENTRE, NO. 64 HOI YUEN ROAD KWUN TONG KOWLOON, HONGKONG

158 1,758,212.35 This claim was amended/superseded by the Remaining Claim.

543

98 TAG/ICIB SERVICES, INC. PO BOX 30206 HONLULU, HI 96820

1414 4,395.00 This claim was amended/superseded by the Remaining Claim.

5585

99 VEOLIA ES SOLID WASTE PO BOX 5096 1799 CTY TRK PP DE PERE, WI 54115

485 840.00 This claim was amended/superseded by the Remaining Claim.

5580

100 VIRGINIA COMMERCIAL FINANCE INC. CHRISTIAN K. VOGEL, ESQ. LECLAIRRYAN 951 EAST BYRD STREET RICHMOND, VA 23219

4744 123,172.34 This claim was amended/superseded by the Remaining Claim.

4949

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Exhibit B

Proposed Order

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UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK ---------------------------------------------------------------x : In re : Chapter 11 Case No. : STONE BARN MANHATTAN LLC : (f/k/a Steve & Barry’s Manhattan LLC), et al., : 08-12579 (ALG) : Debtors. : (Jointly Administered) : ---------------------------------------------------------------x

ORDER GRANTING THE DEBTORS’ FOURTEENTH OMNIBUS OBJECTION TO CLAIMS

(Amended and Superseded Claims)

Upon the omnibus objection, dated May 24, 2010 (the “Omnibus Objection”), of

Stone Barn Manhattan LLC (f/k/a Steve & Barry’s Manhattan LLC) and its affiliates, as debtors

and debtors in possession in the above referenced chapter 11 cases (collectively, the “Debtors”)

seeking to disallow and expunge certain Claims,1 all as more fully set forth in the Omnibus

Objection; and this Court having jurisdiction to consider the Omnibus Objection and the relief

requested therein pursuant to 28 U.S.C. §§ 157 and 1334 and the Standing Order of Referral of

Cases to Bankruptcy Court Judges of the District Court for the Southern District of New York,

dated July 19, 1984 (Ward, Acting C.J.); and consideration of the Omnibus Objection and the

relief requested therein being a core proceeding pursuant to 28 U.S.C. § 157(b); and venue being

proper before this Court pursuant to 28 U.S.C. §§ 1408 and 1409; and due and proper notice of

the Omnibus Objection having been provided to (i) each claimant identified in Exhibit A

attached hereto, (ii) the United States Trustee for the Southern District of New York, (iii) counsel

to the Creditors’ Committee, and (iv) those parties included on the master service list on file in

1 Unless otherwise defined herein, capitalized terms used herein shall have the meanings ascribed thereto in the Omnibus Objection.

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these chapter 11 cases, and it appearing that no other or further notice need be provided; and the

Court having determined that the relief sought in the Omnibus Objection is in the best interests

of the Debtors, their estates, and their creditors; and the Court having determined that the legal

and factual bases set forth in the Omnibus Objection establish just cause for the relief granted

herein; and after due deliberation and sufficient cause appearing therefor, it is

ORDERED that the Omnibus Objection is granted; and it is further

ORDERED that each Amended Claim listed on Exhibit A attached hereto is

hereby disallowed and expunged in its entirety; provided, however, that each Remaining Claim

listed on Exhibit A shall be preserved without prejudice to the Debtors’ right to object to such

claim on any other grounds; and it is further

ORDERED that the Debtors’ claims and noticing agent, Epiq Bankruptcy

Solutions LLC, and the Debtors are authorized and directed to expunge the claims listed on

Exhibit A and otherwise modify the claims register as necessary to implement the relief granted

in this Order; and it is further

ORDERED that the Debtors’ rights and defenses with respect to any of the

Claims referenced in the Omnibus Objection and Exhibit A attached hereto shall be preserved,

including, but not limited to, the right to further object to the Claims on any basis; and it is

further

ORDERED that this Court shall retain jurisdiction to hear and determine all

matters arising from the interpretation and/or implementation of this Order.

Dated: June __, 2010 New York, New York

____________________________________

UNITED STATES BANKRUPTCY JUDGE

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Exhibit A

Amended Claims, to be expunged in their entirety

Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

1 ACCESS AMERICA TRANSPORT 2515 EAST 43RD STREET CHATTANOOGA,, TN 37407

1029 19,784.90 This claim was amended/superseded by the Remaining Claim.

5117

2 AMERENCILCO CREDIT & COLLECTIONS 2105 E. STATE ROUTE 104 PAWNEE, IL 62558

122 17,508.14 This claim was amended/superseded by the Remaining Claim.

5327

3 ASAP DRAIN GUYS & PLUMBING, INC. 2604B EL CAMINO REAL #183 CARLSBAD, CA 92008-1214

400 348.00 This claim was amended/superseded by the Remaining Claim.

2422

4 AT&T ATTN JAMES GRUDUS, ESQ., ATTORNEY ONE AT&T WAY, ROOM 3A218 BEDMINSTER, NJ 07921

376 6,171.38 This claim was amended/superseded by the Remaining Claim.

771

5 AT&T ATTN JAMES GRUDUS, ESQ., ATTORNEY ONE AT&T WAY, ROOM 3A218 BEDMINSTER, NJ 07921

771 7,075.22 This claim was amended/superseded by the Remaining Claim.

5616

6 AUTOMATIC DOOR CONTROLS PO BOX 308 ROANOKE, IN 46783

13 763.74 This claim was amended/superseded by the Remaining Claim.

1058

7 B & G PROPERTY MANAGEMENT, LP MICHAEL O'NEAL WARNER NORCROSS & JUDD LLP 900 FIFTH THIRD CTR., 111 LYON ST. NW GRAND RAPIDS, MI 49503-2487

637 355,708.86 This claim was amended/superseded by the Remaining Claim.

2504

8 BG MIDWEST CAPITAL INVESTMENT GROUP, LLC MIDWEST PALAMARA, DELBARS GROUP MICHAEL O'NEAL, WARNER NORCROSS & JUDD 111 LYON STREET, NW SUITE 900 GRAND RAPIDS, MI 49503

2502 54,703.12 This claim was amended/superseded by the Remaining Claim.

5009

9 BT ORLANDO LIMITED PARTNERSHIP C/O STEPHEN WARSH GENERAL GROWTH PROPERTIES, INC. 110 NORTH WACKER DRIVE BSC 1-26 CHICAGO, IL 60606

718 38,191.57 This claim was amended/superseded by the Remaining Claim.

1199

10 BURBANK MALL ASSOCIATES, LLC C/O STEPHEN WARSH GENERAL GROWTH PROPERTIES, INC. 110 NORTH WACKER DRIVE BSC 1-26 CHICAGO, IL 60606

717 43,014.95 This claim was amended/superseded by the Remaining Claim.

1202

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

11 CLERMONT COUNTY ATTN J. ROBERT TRUE, TREASURER 101 E. MAIN STREET BATAVIA, OH 45103

188 59.84 This claim was amended/superseded by the Remaining Claim.

610

12 COLUMBUS WATER WORKS P.O. BOX 1600 COLUMBUS, GA 31902-1600

1102 241.49 This claim was amended/superseded by the Remaining Claim.

5314

13 CONEDISON SOLUTIONS INC. ATTN: ZURINE GEOGHEGAN 701 WESTCHESTER AVENUE 300E WHITE PLAINS, NY 10604

1623 36,532.11 This claim was amended/superseded by the Remaining Claim.

5650

14 CONSOLIDATED CONCESSION SUPPLIES, INC. 250 FULTON AVENUE NEW HYDE PARK, NY 11040

512 276,859.32 This claim was amended/superseded by the Remaining Claim.

677

15 CONSOLIDATED EDISON CO. OF NY, INC. BANKRUPTCY GROUP 4 IRVING PLACE NEW YORK, NY 10003

116 4,600.80 This claim was amended/superseded by the Remaining Claim.

793

16 CPS TEXTILES (P) LTD LAKSHMI GARDEN KANGAYAM ROAD TIRUPUR, INDIA

104 393,934.94 This claim was amended/superseded by the Remaining Claim.

2542

17 DENISE WILLIAMS V STEVE & BARRYS IL LLC DBA STEVE & BARRYS UNIV SPORTSWEAR LAW OFFICES OF RENEE T. VOGT 134 N. LASALLE, STE 1010 CHICAGO, IL 60602

2409 100,000.00 This claim was amended/superseded by the Remaining Claim.

5187

18 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3472 187,771.49 This claim was amended/superseded by the Remaining Claim.

5153

19 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. – BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3473 187,771.49 This claim was amended/superseded by the Remaining Claim.

5140

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

20 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3474 187,771.49 This claim was amended/superseded by the Remaining Claim.

5142

21 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3475 187,771.49 This claim was amended/superseded by the Remaining Claim.

5141

22 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3476 187,771.49 This claim was amended/superseded by the Remaining Claim.

5139

23 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3477 187,771.49 This claim was amended/superseded by the Remaining Claim.

5144

24 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3478 187,771.49 This claim was amended/superseded by the Remaining Claim.

5143

25 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3479 187,771.49 This claim was amended/superseded by the Remaining Claim.

5145

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

26 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3480 187,771.49 This claim was amended/superseded by the Remaining Claim.

5146

27 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3481 187,771.49 This claim was amended/superseded by the Remaining Claim.

5147

28 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3482 187,771.49 This claim was amended/superseded by the Remaining Claim.

5148

29 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3483 187,771.49 This claim was amended/superseded by the Remaining Claim.

5149

30 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3484 187,771.49 This claim was amended/superseded by the Remaining Claim.

5150

31 DEVELOPERS DIVERSIFIED REALTY, AGENT FOR DDR DOWNREIT LLC T/A SPRINGFIELD PLAZA C/O JEFF MEYERS, ESQ. - BALLARD SPAHR 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3485 187,771.49 This claim was amended/superseded by the Remaining Claim.

5151

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

32 DEVELOPERS DIVERSIFIED REALTY, ET AL C/O JEFF MEYERS BALLARD SPAHR ANDREWS & INGERSOLL, LLP 1735 MARKET STREET, 51ST FLOOR PHILADELPHIA, PA 19103

3486 187,771.49 This claim was amended/superseded by the Remaining Claim.

5152

33 DIVISION AVE CATERERS ATTN: BRIAN DEVINE 44 DIVISION AVE LEVITTOWN, NY 11756

587 28,314.00 This claim was amended/superseded by the Remaining Claim.

5614

34 DUNBAR ARMORED 50 SCHILLING ROAD HUNT VALLEY, MD 21031

208 1,103.53 This claim was amended/superseded by the Remaining Claim.

5356

35 DUNLAP TRUCKING SERVICES, LLC MYRON DUNLAP C/O THOMPSON LAW GROUP, P.C. 2321 E SPEEDWAY BLVD TUCSON, AZ 85719

349 15,227.80 This claim was amended/superseded by the Remaining Claim.

1437

36 EASTEND EXPORTS 2783/2 SUNDER NAGAR, LUDHIANA PUNJAB, 141007 INDIA

139 230,845.40 This claim was amended/superseded by the Remaining Claim.

1083

37 EASTEND EXPORTS 2783/2 SUNDER NAGAR, LUDHIANA PUNJAB, 141007 INDIA

1083 148,750.40 This claim was amended/superseded by the Remaining Claim.

1493

38 EASTFIELD ASSOCIATES, LLC, ATTN: JEFFREY S. TAYLOR, MNGNG DIR C/O MOUNTAIN DEVELOPMENT CORP. 100 DELAWANNA AVENUE, SUITE 100 CLIFTON, NJ 07014

2510 48,356.23 This claim was amended/superseded by the Remaining Claim.

2511

39 FANTAS EYES, INC 380 BERGEN AVENUE KEARNY, NJ 07032

511 138,133.20 This claim was amended/superseded by the Remaining Claim.

4934

40 FIORIDNO, STEVEN ET AL MARK BRADSHAW SHULMAN HODGES & BRASTIAN LLP 26632 TOWNE CENTER DRIVE, SUITE 300 FOOTHILL RANCH, CA 92610

357 unliquidated This claim was amended/superseded by the Remaining Claim.

3284

41 FIORINDO, STEVE MARK BRADSHAW, ESQ. SHULMAN HODGES & BASTIAN LLP 26632 TOWNE CENTER DRIVE, # 300 FOOTHILL RANCH, CA 92610

3284 1,972,536.70 This claim was amended/superseded by the Remaining Claim.

4824

42 FORD MODELS, INC. PO BOX 29629 NEW YORK, NY 10087-9629

10 3,516.00 This claim was amended/superseded by the Remaining Claim.

829

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

43 FOREST CITY COMMERCIAL MANAGEMENT, INC. AGENT FOR CHARLESTON TOWN CENTER SPE LLC 50 PUBLIC SQUARE, SUITE 1360 CLEVELAND, OH 44113

117 85,635.61 This claim was amended/superseded by the Remaining Claim.

1051

44 G & M CHATTANOOGA AND SLOVIS CHATTANOOGA LLC ATTN: LGL DEPT, C/O HAWKINS COMPANIES 855 W. BROAD ST, STE 300 BOISE, ID 83702

1217 55,335.00 This claim was amended/superseded by the Remaining Claim.

5047

45 GGP-BRASS MILL, INC. C/O STEPHEN WARSH GENERAL GROWTH PROPERTIES, INC. 110 NORTH WACKER DRIVE BSC 1-26 CHICAGO, IL 60606

716 49,485.52 This claim was amended/superseded by the Remaining Claim.

1023

46 GGP-MORENO VALLEY, INC. C/O STEPHEN WARSH GENERAL GROWTH PROPERTIES, INC. 110 NORTH WACKER DRIVE BSC 1-26 CHICAGO, IL 60606

720 1,174,432.08 This claim was amended/superseded by the Remaining Claim.

1201

47 GLIMCHER PROPERTIES LIMITED PARTNERSHIP SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5495 62,796.02 This claim was amended/superseded by the Remaining Claim.

5642

48 GLIMCHER PROPERTIES LIMITED PARTNERSHIP SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5497 560,066.04 This claim was amended/superseded by the Remaining Claim.

5642

49 GLIMCHER PROPERTIES LIMITED PARTNERSHIP SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5501 20,117.65 This claim was amended/superseded by the Remaining Claim.

5643

50 GLIMCHER PROPERTIES LIMITED PARTNERSHIP SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5503 179,408.28 This claim was amended/superseded by the Remaining Claim.

5643

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

51 GRAND CENTRAL LIMITED PARTNERSHIP SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5507 75,139.17 This claim was amended/superseded by the Remaining Claim.

5646

52 GRAND CENTRAL LIMITED PARTNERSHIP SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5510 540,078.00 This claim was amended/superseded by the Remaining Claim.

5646

53 H/S WILSON, LLC HULL STOREY GIBSON COMPANIES, LLC C/O ASHLEY DOLCE, CLAIMS MANAGER 1190 INTERSTATE PARKWAY AUGUSTA, GA 30909

545 51,563.87 This claim was amended/superseded by the Remaining Claim.

1513

54 HALLMARK INDUSTRIES 451/A-1, SHAH & NAHAR INDUSTRIAL ESTATE LOWER PAREL MUMBAI, 400-013

66 279,795.25 This claim was amended/superseded by the Remaining Claim.

510

55 HALLMARK INDUSTRIES 451/A-1, SHAH & NAHAR INDUSTRIAL ESTATE LOWER PAREL MUMBAI, 400-013 INDIA

510 279,795.25 This claim was amended/superseded by the Remaining Claim.

4807

56 HANDYMAN MATTERS NORTH 1701 NORTHPARK DR STE 6 KINGWOOD, TX 773391642

5019 810.69 This claim was amended/superseded by the Remaining Claim.

5020

57 HAWAII TRANSFER CO., LTD. P.O. BOX 665 PEARL CITY, HI 96782

142 19,060.82 This claim was amended/superseded by the Remaining Claim.

1284

58 HILLCREST SHOPPING CENTER, INC. J.J. GUMBERG CO.- BRINTON EXE CT 1051 BRINTON RD PITTSBURGH, PA 15221-4599

1119 583,731.70 This claim was amended/superseded by the Remaining Claim.

3277

59 JEFFCO CONCRETE CONTRACTORS INC 10945 COMMERCIAL DR TUSCALOOSA, AL 35405

843 1,000.00 This claim was amended/superseded by the Remaining Claim.

5363

60 JJ GARMENT LIMITED ROOM 801, NO. 251, XIAOMUQIAO RD., XUHUI DISTRICT SHANGHAI, 200032 CHINA

731 2,207,810.83 This claim was amended/superseded by the Remaining Claim.

1432

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

61 JONATHAN DINOLFO D/B/A JED ELECTRICAL SERVICES 114 HICKORY LANE LEVITTOWN, NY 11756

711 3,325.00 This claim was amended/superseded by the Remaining Claim.

1276

62 KEYSTONE AUTOMATIC DOOR ENTERPRISES PO BOX 861 LANSDALE, PA 19446

487 2,392.84 This claim was amended/superseded by the Remaining Claim.

1793

63 LANDESMAN BROS INC 16 MCCARTHY RD ISLAND PARK, NY 11558

32 5,674.30 This claim was amended/superseded by the Remaining Claim.

997

64 LANDESMAN BROS INC 16 MCCARTHY RD ISLAND PARK, NY 11558

44 5,674.30 This claim was amended/superseded by the Remaining Claim.

1452

65 LANDESMAN BROS INC 16 MCCARTHY RD ISLAND PARK, NY 11558

997 5,674.30 This claim was amended/superseded by the Remaining Claim.

1452

66 LOIS ROSENBERG CONSULTANTS, INC. 303 GREENWICH STREET, # 2D NEW YORK, NY 10013

2892 1,007.05 This claim was amended/superseded by the Remaining Claim.

4980

67 MICHIGAN DEPARTMENT OF TREASURY ATTN JUANDISHA M HARRIS, ASST. ATTY GEN. CADILLAC PLACE, STE. 10-200 3030 W. GRAND BLVD DETROIT, MI 48202

389 16,126.68 This claim was amended/superseded by the Remaining Claim.

4997

68 MORGANTOWN MALL ASSOCIATES L.P. SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5511 27,922.55 This claim was amended/superseded by the Remaining Claim.

5645

69 MORGANTOWN MALL ASSOCIATES L.P. SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FL COLUMBUS, OH 43215

5514 249,012.00 This claim was amended/superseded by the Remaining Claim.

5645

70 NORTHWEST PLAZA, LLC C/O STEPHEN WARSH GENERAL GROWTH PROPERTIES, INC. 110 NORTH WACKER DRIVE BSC 1-26 CHICAGO, IL 60606

721 84,919.35 This claim was amended/superseded by the Remaining Claim.

1024

71 OTIS ELEVATOR COMPANY ATTN TREASURY SERVICES 1 FARM SPRINGS RD FARMINGTON, CT 06032-9816

29 30,917.00 This claim was amended/superseded by the Remaining Claim.

28

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

72 PECO PECO ENERGY COMPANY ATTN MICHAEL P MURPHY, S222-1 2301 MARKET STREET PHILADELPHIA, PA 19103

201 3,911.68 This claim was amended/superseded by the Remaining Claim.

5620

73 PENNINGTON CONSTRUCTION COMPANY P O BOX 12117 OKLAHOMA CITY, OK 73157-2117

870 280.00 This claim was amended/superseded by the Remaining Claim.

5478

74 PEPCO ENERGY SERVICES, INC. EULER HEMES ACI, AGENT 800 RED BROOK BOULEVARD OWINGS MILLS, MD 21117

371 186,729.53 This claim was amended/superseded by the Remaining Claim.

5302

75 PIEDMONT NATURAL GAS BANKRUTPCY 4339 S. TRYON STREET CHARLOTTE, NC 28217-1733

509 66.22 This claim was amended/superseded by the Remaining Claim.

575

76 POTOMAC ELECTRIC POWER COMPANY PEPCO PO BOX 97274 WASHINGTON, DC 20090-7274

599 4,897.32 This claim was amended/superseded by the Remaining Claim.

2387

77 PROFESSIONAL RETAIL SERVICES INC. BRAVERMAN LAW OFFICE PC 50 CHARLES LINDBERGH BLVD., SUITE 400 UNIONDALE, NY 11553

5487 38,995.00 This claim was amended/superseded by the Remaining Claim.

5557

78 PUTIAN MUNICIPAL NEW DEV. GIFT CO., LTD. WELTMAN WEINBERG & REIS CO. LPA 175 S. 3RD STREET, STE 900 COLUMBUS, OH 43215

429 566,203.50 This claim was amended/superseded by the Remaining Claim.

4749

79 RVM GLIMCHER, LLC SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5498 35,882.67 This claim was amended/superseded by the Remaining Claim.

5644

80 RVM GLIMCHER, LLC SHARISSE CUMBERBATCH, ESQ. GLIMCHER PROPERTIES LIMITED PARTNERSHIP 180 EAST BROAD STREET, 21ST FLOOR COLUMBUS, OH 43215

5500 320,000.04 This claim was amended/superseded by the Remaining Claim.

5644

81 SAYBROOK ASSOCIATES INC. BOX 21 CENTERBROOK, CT 06409

19 1,890.00 This claim was amended/superseded by the Remaining Claim.

1459

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

82 SHANGHAI JIANPU IMPORT & EXPORT CO., LTD MR. YU YI XI RM. 207, BLD, ZIJINHANGONG, NO. 1035 NAN QUAN RD. (N.) SHANGHAI, CHINA

337 158,484.68 This claim was amended/superseded by the Remaining Claim.

529

83 SHANGHAI NEAR INTERNATIONAL TRADING CO ATTN: ZENG XI YU/VIVIEN B-1701,NO.55,YI SHAN ROAD SHANGHAI, 200030 CHINA

1505 592.40 This claim was amended/superseded by the Remaining Claim.

5169

84 SINOMAX INTERNATIONAL (HK) LTD. KLESTADT & WINTERS, LLP 292 MADISON AVENUE, 17TH FLOOR NEW YORK, NY 10017

709 287,933.58 This claim was amended/superseded by the Remaining Claim.

3295

85 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3201 547,167.50 This claim was amended/superseded by the Remaining Claim.

5565

86 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3202 547,167.50 This claim was amended/superseded by the Remaining Claim.

5566

87 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3203 547,167.50 This claim was amended/superseded by the Remaining Claim.

5567

88 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3204 547,167.50 This claim was amended/superseded by the Remaining Claim.

5568

89 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3205 547,167.50 This claim was amended/superseded by the Remaining Claim.

5569

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

90 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3206 547,167.50 This claim was amended/superseded by the Remaining Claim.

5570

91 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3207 547,167.50 This claim was amended/superseded by the Remaining Claim.

5571

92 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3208 547,167.50 This claim was amended/superseded by the Remaining Claim.

5572

93 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3209 547,167.50 This claim was amended/superseded by the Remaining Claim.

5573

94 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3210 547,167.50 This claim was amended/superseded by the Remaining Claim.

5574

95 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3211 547,167.50 This claim was amended/superseded by the Remaining Claim.

5575

96 SSF SAVANNAH PROPERTIES, LLC SETH A. DRUCKER, ESQ. HONIGMAN MILLER SCHWARTZ AND COHN LLP 2290 FIRST NATIONAL BLDG., SUITE 2290 DETROIT, MI 48226

3212 547,167.50 This claim was amended/superseded by the Remaining Claim.

5576

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Claimant Name and Address Amended Claim (to be Expunged)

Claimed Amount ($)

Basis for Objection Remaining Claim

97 SUPER STORE SUPPLIES (HK) LIMITED RM 607, 6/F YUEN SHEG CENTRE, NO. 64 HOI YUEN ROAD KWUN TONG KOWLOON, HONGKONG

158 1,758,212.35 This claim was amended/superseded by the Remaining Claim.

543

98 TAG/ICIB SERVICES, INC. PO BOX 30206 HONLULU, HI 96820

1414 4,395.00 This claim was amended/superseded by the Remaining Claim.

5585

99 VEOLIA ES SOLID WASTE PO BOX 5096 1799 CTY TRK PP DE PERE, WI 54115

485 840.00 This claim was amended/superseded by the Remaining Claim.

5580

100 VIRGINIA COMMERCIAL FINANCE INC. CHRISTIAN K. VOGEL, ESQ. LECLAIRRYAN 951 EAST BYRD STREET RICHMOND, VA 23219

4744 123,172.34 This claim was amended/superseded by the Remaining Claim.

4949