{"id":"court_ctb_2070_0","court":"CTB","case_no":"22-50073","doc_number":2070,"sub_number":0,"doc_type":"UNKNOWN","filed_date":null,"title":"| UNITED STATES BANKRUPTCY COURT<br>DISTRICT OF CONNECTICUT<br>BRIDGEPORT DIVISION |        |                          |","summary_zh":null,"summary_en":null,"body_en":"| UNITED STATES BANKRUPTCY COURT<br>DISTRICT OF CONNECTICUT<br>BRIDGEPORT DIVISION |        |                          |  |  |\n|----------------------------------------------------------------------------------|--------|--------------------------|--|--|\n| -----------------------------------------------------------                      | x      |                          |  |  |\n|                                                                                  | :      | Chapter 11               |  |  |\n| In re:                                                                           | :      |                          |  |  |\n| HO WAN KWOK, et al.,                                                             | :<br>: | Case No. 22-50073 (JAM)  |  |  |\n|                                                                                  | :      | (Jointly Administered)   |  |  |\n| Debtors.1                                                                        | :      |                          |  |  |\n| -------------------------------------------------------                          | x      |                          |  |  |\n|                                                                                  | :      |                          |  |  |\n| LUC A. DESPINS, Chapter 11 Trustee, et al.                                       | :      | Adv. Proc. No. 22-050272 |  |  |\n|                                                                                  | :      |                          |  |  |\n| Plaintiffs,                                                                      | :      |                          |  |  |\n|                                                                                  | :      |                          |  |  |\n| v.                                                                               | :      |                          |  |  |\n| BRAVO LUCK LIMITED, et. al.,                                                     | :<br>: |                          |  |  |\n|                                                                                  | :      |                          |  |  |\n| Defendant.                                                                       | :      |                          |  |  |\n| -------------------------------------------------------                          | x      |                          |  |  |\n\n## **CERTIFICATE OF SERVICE REGARDING 9019 MOTION, MOTION TO LIMIT SERVICE, AND HEARING NOTICES**\n\nOn August 4, 2023, Luc A. Despins, in his capacity as the chapter 11 trustee (the \"Trustee\") appointed in the chapter 11 case (the \"Chapter 11 Case\") of Ho Wan Kwok (the \"Debtor\"), filed his *Motion of Chapter 11 Trustee, Genever Holdings LLC, and Genever Holdings Corporation, Pursuant to Bankruptcy Rule 9019, Regarding Settlement with Bravo Luck Limited and Mileson Guo (a/k/a Qiang Guo and/or Guo Qiang)* [Main Case Docket No. 2049; Adv. Proc. Docket No.\n\n<sup>1</sup> The Debtors in these chapter 11 cases are Ho Wan Kwok (also known as Guo Wengui, Miles Guo, and Miles Kwok, as well as numerous other aliases) (last four digits of tax identification number: 9595), Genever Holdings LLC (last four digits of tax identification number: 8202), and Genever Holdings Corporation. The mailing address for the Trustee and the Genever Debtor is Paul Hastings LLP, 200 Park Avenue, New York, NY 10166 c/o Luc A. Despins, as Trustee for the Estate of Ho Wan Kwok (solely for purposes of notices and communications).\n\n<sup>2</sup> Consolidated under Adv. Proc. No. 22-05027 are the adversary proceedings styled: (a) *Luc A. Despins, Chapter 11 Trustee v. Bravo Luck Limited and Qiang Guo* (Adv. Proc. No. 22-05027), (b) *Genever Holdings LLC v. Bravo Luck Limited* (Adv. Proc. No. 22-05030), and (c) *Genever Holdings Corporation v. Bravo Luck Limited* (Adv. Proc. No. 22-05035).\n\n111] (the \"9019 Motion\")<sup>3</sup> and his *Motion of Chapter 11 Trustee, Genever Holdings LLC, and Genever Holdings Corporation to Limit Service of Motion of Chapter 11 Trustee, Genever Holdings LLC, and Genever Holdings Corporation, Pursuant to Bankruptcy Rule 9019, Regarding Settlement with Bravo Luck Limited and Mileson Guo (a/k/a Qiang Guo and/or Guo Qiang)* [Main Case Docket No. 2050; Adv. Proc. Docket No. 112] (the \"Motion to Limit Service\" and, together with the 9019 Motion, the \"Motions\") in both in the above captioned chapter 11 cases (the \"Chapter 11 Cases\") and in *Despins v. Bravo Luck Limited, et al.*, Adv. Proceeding Case No. 22- 05027 (the \"Adversary Proceeding\"). The Motions may all be accessed via the Court's case management/electronic case files (\"CM/ECF\") system.\n\nOn August 7, 2023, the Court entered a Notice of Hearing with respect to the 9019 Motion [Main Case Docket No. 2061; Adv. Proc. Docket No. 115] (collectively, the \"Notice of Hearing\" and, together with the 9019 Motion, collectively, the \"Served Documents\"), which Notice of Hearing was filed on the docket in the Chapter 11 Cases and the Adversary Proceeding and may be accessed via CM/ECF.\n\nNotice of the filing of the Motions and the Notice of Hearing in the Chapter 11 Cases and Adversary Proceeding was sent by e-mail to all appearing parties to the Chapter 11 Cases and the Adversary Proceeding by operation of the Court's electronic filing (\"CM/ECF\") system, or by U.S. mail to anyone unable to accept electronic filing as indicated on the Notice of Electronic Filing on August 4, 2023 (as to the Motions) and on August 8, 2023 (as to the Hearing Notice). 4\n\n<sup>3</sup> Capitalized terms used but not otherwise defined herein have the meanings set forth in the 9019 Motion.\n\n<sup>4</sup> To the extent that the foregoing was filed outside regular business hours, service by mail on recipients unable or not qualified to accept electronic notice was made on the next business day.\n\nIn addition, the Motions and the Notice of Hearing were sent to non-appearing defendant Qiang Guo's last known address, *i.e.*, 5 Princess Gate, G3 London, United Kingdom and to Berkeley Rowe, 5 Merchant Square London W2 1AY, United Kingdom, prior to 4 p.m. on August 7, 2023. In addition, the Served Documents were further served on Qiang Guo in the United Kingdom as set forth on the Certificate of Service attached hereto as **Exhibit A**.\n\n*[THE REST OF THIS PAGE IS INTENTIONALLY BLANK.]*\n\nDated: August 8, 2023 LUC A. DESPINS, New Haven, Connecticut CHAPTER 11 TRUSTEE\n\nBy: */s/ Patrick R. Linsey*\n\nDouglas S. Skalka (ct00616) Patrick R. Linsey (ct29437) NEUBERT, PEPE & MONTEITH, P.C. 195 Church Street, 13th Floor New Haven, Connecticut 06510 (203) 781-2847 [dskalka@npmlaw.com](mailto:dskalka@npmlaw.com) [plinsey@npmlaw.com](mailto:plinsey@npmlaw.com)\n\n## **EXHIBIT A**\n\n| In re:               |          |  | Chapter 11                |  |\n|----------------------|----------|--|---------------------------|--|\n| HO WAN KWOK, et al., |          |  | : Case No. 22-50073 (JAM) |  |\n|                      | Debtors. |  | : (Jointly Administered)  |  |","body_zh":null,"key_entities":["Guo","Kwok","Despins","Ho Wan Kwok","Miles Guo","Paul Hastings"],"ecf_references":[],"word_count":900,"status":"published","published_at":null,"created_at":null,"updated_at":"2026-07-07 07:59:30"}