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The filing requests an order under specified provisions of the Bankruptcy Code and sets a hearing date and time, with oral argument requested. 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Box 800  \nHackensack, New Jersey 07602-0800  \n(201) 489-3000  \n(201) 489-1536 Facsimile Michael D. Sirota, Esq.  \nIlana Volkov, Esq.  \nAttorneys for Adamar ofNJ In Liquidation, LLC,  \nf/k/a Adamar of New Jersey, Inc. and Manchester Mall, Inc., Debtors  \nUNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF NEW JERSEY HONORABLE JUDITH H. WIZMUR CASE NO. 09-20711 (JHW)  \nChapter 11  \nDEBTORS’ MOTION PURSUANT TO SECTIONS 1112(b), 105(a) AND 305(a) OF THE BANKRUPTCY CODE FOR AN ORDER DISMISSING THEIR CHAPTER 11 CASES AND GRANTING RELATED RELIEF  \nHEARING DATE AND TIME:  \nMay 18, 2011, at 9:30 a.m.  \nORAL ARGUMENT REQUESTED  \nTO: All Parties-in-Interest  \nPLEASE TAKE NOTICE that on May 18, 2011, at 9:30 a.m., or as soon thereafter as counsel may be heard, Adamar ofNJ In Liquidation, LLC, f/k/a Adamar of New Jersey, Inc., d/b/a Tropicana Casino & Resort-Atlantic City and Manchester Mall, Inc. (collectively, the“Debtors”), 1 by and through their counsel, Cole, Schotz, Meisel, Forman & Leonard, P.A., shall  \n1 In accordance with the Amended Agreement (defined in the Motion (defined below)) and the Court’s Order approving same, Adamar of New Jersey, Inc. and Manchester Mall, Inc. merged into Adamar ofNJ In Liquidation, LLC. All three entities are collectively referred to herein as the “Debtors” for purposes of convenience.  \n45961/0001-7566459v1  \n¨0¤|'++$\u003C \\#&«  \n0920711110428000000000003  \nCase 09-20711-JHW Doc 1147 Filed 04/28/11 Entered 04/28/11 19:33:43 Desc Main  \nDocument Page 2 of 3  \nmove before the Honorable Judith H. Wizmur, at the United States Bankruptcy Court, Mitchell  \nH. Cohen U. S. Courthouse, 400 Cooper Street, 4th Floor, Camden, New Jersey 08101, for entry of an Order pursuant to Sections 1112(b), 105(a) and 305(a) of Title 11 of the United States Code (the “Bankruptcy Code”) for an Order Dismissing Their Chapter 11 Cases and Granting Related Relief (the “Motion”) .2  \nPLEASE TAKE FURTHER NOTICE that in support of the Motion, the undersigned shall rely on the accompanying Application, which sets forth the relevant factual and legal bases upon which the requested relief should be granted. A proposed form of Order granting the Motion also is submitted herewith.  \nPLEASE TAKE FURTHER NOTICE that objections, if any, to the relief requested in the Motion shall: (i) be in writing,(ii) state with particularity the basis of the objection; and (iii) be filed with the Clerk of the United States Bankruptcy Court electronically by attorneys who regularly practice before the Bankruptcy Court in accordance with the General Order Regarding Electronic Means for Filing, Signing, and Verification of Documents dated March 27, 2002 (the“General Order”) and the Commentary Supplementing Administrative Procedures dated as of March 2004 (the “Supplemental Commentary”) (the General Order, the Supplemental Commentary and the User’s Manual for the Electronic Case Filing System can be found at [www.njb.uscourts.gov](www.njb.uscourts.gov), the official website for the Bankruptcy Court) and, by all other parties-ininterest, on CD-ROM in Portable Document Format (PDF), and shall be served in accordance with the General Order and the Supplemental Commentary, so as to be received no later than seven (7) days before the hearing date set forth above.  \n2 All capitalized terms used but not otherwise defined herein shall have the same meaning ascribed to them in the Application submitted in support of the Motion.  \n2  \n45961/0001-7566459v1  \nCase 09-20711-JHW Doc 1147 Filed 04/28/11 Entered 04/28/11 19:33:43 Desc Main  \nDocument Page 3 of 3  \nPLEASE TAKE FURTHER NOTICE that unless objections are timely filed, the Motion shall be deemed uncontested in accordance with D.N.J. LBR 9013-1(a), and the relief requested may be granted without a hearing.  \nPLEASE TAKE FURTHER NOTICE that the undersigned requests oral argument on the return date of th","cbCaie7LEWvIw2Fl","https://ap.wps.com/l/cbCaie7LEWvIw2Fl","pdf",996757,205,"English","# Debtors’ Motion and Notice\n## Hearing date, oral argument, and requested relief\n## Objections and service requirements\n# Application in Support of Motion\n## Preliminary statement","[{\"question\":\"What relief do the debtors request in their motion?\",\"answer\":\"The debtors request an order dismissing their Chapter 11 cases and granting related relief under the cited Bankruptcy Code sections.\"},{\"question\":\"When is the hearing scheduled and is oral argument requested?\",\"answer\":\"The notice sets a hearing for May 18, 2011 at 9:30 a.m., and requests oral argument on the return date of the motion.\"},{\"question\":\"What must parties do if they object to the requested relief?\",\"answer\":\"Objections must be written, state the basis with particularity, be filed electronically in accordance with the Bankruptcy Court’s electronic filing order and related guidance, and be served so they are received no later than seven days before the hearing date.\"}]","DEBTORS’ MOTION PURSUANT TO SECTIONS 1112(b), 105(a) AND 305(a) OF THE BANKRUPTCY CODE FOR AN ORDER DISMISSING THEIR CHAPTER 11 CASES AND GRANTING RELATED RELIEF | PDF",517]