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Hudson 1701/1706, LLC v. 356W58 Ground Lessor LLC — Entry #106: Notice of Agenda of Matters Scheduled for Hearing Filed by Hudson 1701/1706, LLC

Case: Hudson 1701/1706, LLC v. 356W58 Ground Lessor LLC deb · 25-52471

filed December 22, 2025

What this document is

Docket entry #106 · filed September 04, 2026

Notice of Agenda of Matters Scheduled for Hearing Filed by Hudson 1701/1706, LLC. Hearing scheduled for 9/9/2026 at 09:30 AM at US Bankruptcy Court, 824 Market St., 6th Fl., Courtroom #3, Wilmington, Delaware. (Chipman, William) (Entered: 09/04/2026)

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We follow this case because it names a company we track, although that company is not a party:

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Case 25-52471-KBO              Doc 106       Filed 09/04/26        Page 1 of 4


                       IN THE UNITED STATES BANKRUPTCY COURT
                            FOR THE DISTRICT OF DELAWARE

    In re:                                                 Chapter 11

    Hudson 1701/1706, LLC, et al., 1                       Case No. 25-11853 (KBO)
                                                           (Jointly Administered)
                           Debtors.


    HUDSON 1701/1706, LLC, a Delaware
    limited liability company; and HUDSON
    1702, LLC, a Delaware limited liability                Adv. Pro. No. 25-52471 (KBO)
    company,
                          Plaintiff,
    v.

    356W58 Ground Lessor LLC, a
    Delaware limited liability company,

                           Defendant.


                 NOTICE OF AGENDA OF MATTERS SCHEDULED FOR
             HEARING ON SEPTEMBER 9, 2026, AT 9:30 A.M. (EASTERN TIME)


                            THIS PROCEEDING WILL BE CONDUCTED IN-PERSON.
        ALL COUNSEL AND WITNESSES ARE EXPECTED TO ATTEND UNLESS PERMITTED TO APPEAR
         REMOTELY VIA ZOOM. PLEASE REFER TO JUDGE OWENS’S CHAMBERS PROCEDURES
       (HTTPS://WWW.DEB.USCOURTS.GOV/CONTENT/JUDGE-KAREN-B-OWENS) AND THE COURT’S
       WEBSITE (HTTP://WWW.DEB.USCOURTS.GOV/ECOURT-APPEARANCES) FOR INFORMATION ON
       WHO MAY PARTICIPATE REMOTELY, THE METHOD OF ALLOWED PARTICIPATION (VIDEO OR
        AUDIO), JUDGE OWENS’S EXPECTATIONS OF REMOTE PARTICIPANTS, AND THE ADVANCE
                                REGISTRATION REQUIREMENTS.

       REGISTRATION IS REQUIRED BY 4:00 P.M. (EASTERN TIME) THE BUSINESS DAY BEFORE THE
     HEARING UNLESS OTHERWISE NOTICED USING THE ECOURTAPPEARANCES TOOL AVAILABLE ON
                                    THE COURT’S WEBSITE.


1
 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification
number, are Hudson 1701/1706, LLC (0281) and Hudson 1702, LLC (0190). The Debtors’ mailing address is c/o FTI
Consulting, Inc. Attn: Alan Tantleff, 1166 Avenue of the Americas, 15th Floor, New York, NY 10036.


           Case 25-52471-KBO         Doc 106     Filed 09/04/26     Page 2 of 4


I. MATTER GOING FORWARD

   1.    Debtors' Motion for an Order Determining Amount of Prospective Post-Petition
         Monthly Rent Due as an Administrative Expense Claim [Docket No. 524; Filed on June
         2, 2026]

         Response Deadline: June 16, 2026, at 4:00 p.m. (ET)

         Responses Received:

            A. 356W58 Ground Lessor LLC's Objection to Debtors' Motion for an Order
               Determining Amount of Prospective Post-Petition Monthly Rent Due as an
               Administrative Expense Claim [Docket No 553; Filed on June 16, 2026]

         Related Documents:

            A. Notice of Hearing on Debtors' Motion for an Order Determining Amount of
               Prospective Post-Petition Monthly Rent Due as an Administrative Expense
               Claim [Docket No. 576; Filed on July 7, 2026]

            B. Certification of Counsel Regarding Stipulated Pretrial Schedule [D.I. 614; Filed
               on July 31, 2026]

            C. Order Approving Stipulated Pretrial Schedule [D.I. 616; Entered on August 3,
               2026].

            D. The Debtors' Supplemental Memorandum in Support of Their Motion for an
               Order Determining Amount of Prospective Post-Petition Monthly Rent Due as
               an Administrative Expense Claim [Docket No. 661; Filed on September 4,
               2026]

            E. 356W58 Ground Lessor LLC's Rent Motion Pre-Hearing Brief [Docket No.
               662; Filed on September 4, 2026]

            F. [SEALED] Declaration in Support (Declaration of Matthew B. McGuire in
               Support of 356W58 Ground Lessor LLC's Rent Motion Pre-Hearing Brief
               [Docket No. 663; Filed on September 4, 2026]

  Status: This matter will go forward.


                                             2


           Case 25-52471-KBO       Doc 106     Filed 09/04/26    Page 3 of 4


II. ADVERSARY MATTER GOING FORWARD

   2.   Hudson 1701/1706, LLC, et al., v. 356W58 Ground Lessor LLC;
        Adv. Pro. No. 25-52471 (KBO)

            A. Amended Complaint [Adv. Docket No. 91; Filed on June 10, 2026].

            B. Certificate of Service regarding Amended Complaint [Adv. Docket No 92;
               Filed on June 17, 2026]

            C. Motion to Dismiss Adversary Proceeding Filed by 356W58 Ground Lessor
               LLC [Adv. Docket No. 93; Filed on July 9, 2026]

            D. 356W58 Ground Lessor LLC's Memorandum of Law in Support of Its Motion
               to Dismiss the Amended Complaint [Adv. Docket No. 94; Filed on July 9, 2026]

            E. Declaration of Matthew B. McGuire in Support of 356W58 Ground Lessor
               LLC's Motion to Dismiss the Amended Complaint [Adv. Docket No. 95; Filed
               on July 9, 2026]

            F. The Debtors' Opposition to the Defendant's Motion to Dismiss the Amended
               Complaint [Adv. Docket No. 97; Filed on July 30, 2026]

            G. Certification of Counsel for Approval of Proposed Scheduling Order [Adv.
               Docket No. 98; Filed on July 31, 2026]

            H. Order Approving Stipulated Schedule Re: Motion to Dismiss [Adv. Docket No.
               99; Entered on August 3, 2026]

            I. Notice of Filing Redline of Amended Complaint [Adv. Docket No. 101; Filed
               on August 11, 2026]

            J. 356W58 Ground Lessor LLC's Reply Memorandum of Law in Further Support
               of Its Motion to Dismiss the Amended Complaint [Adv. Docket No. 102; Filed
               on August 13, 2026]

            K. 356W58 Ground Lessor LLC’s Notice of Completion of Briefing [Adv. Docket
               No. 103; Filed on September 3, 2026]

            L. Notice of Hearing of 356W58 Ground Lessor's Motion to Dismiss the Amended
               Complaint [Adv. Docket No. 104; Filed September 3, 2026]

        Status: Oral argument on 356W58 Ground Lessor LLC's Motion to Dismiss the
                Amended Complaint will go forward.


                                           3


            Case 25-52471-KBO   Doc 106     Filed 09/04/26   Page 4 of 4


Dated: September 4, 2026        CHIPMAN BROWN CICERO & COLE, LLP
       Wilmington, Delaware
                                /s/ William E. Chipman, Jr.
                                William E. Chipman, Jr. (No. 3818)
                                Mark D. Olivere (No. 4291)
                                Aaron J. Bach (No. 7364)
                                Alison R. Maser (No. 7430)
                                Hercules Plaza
                                1313 North Market Street, Suite 5400
                                Wilmington, Delaware 19801
                                Telephone: (302) 295-0191
                                Email: chipman@chipmanbrown.com
                                         olivere@chipmanbrown.com
                                         bach@chipmanbrown.com
                                         maser@chipmanbrown.com

                                -and-

                                BOIES SCHILLER & FLEXNER LLP
                                Robert D. Gordon, Esq. (admitted pro hac vice)
                                Michael M. Fay. Esq. (admired pro hac vice)
                                Jenny H. Kim, Esq. (admitted pro hac vice)
                                Jeffrey Waldron, Esq. (admitted pro hac vice)
                                Katherine Zhang, Esq. (admitted pro hac vice)
                                55 Hudson Yards, 20th Floor,
                                New York, New York 10001
                                Telephone: (212) 446-2300
                                Email: rgordon@bsfllp.com
                                        mfay@bsfllp.com
                                        jkim@bsfllp.com
                                        jwaldron@bsfllp.com
                                        kzhang@bsfllp.com

                                 Counsel to the Debtors and Debtors in Possession


                                        4