{"id":"court_ctb_245_0","court":"CTB","case_no":"22-50073","doc_number":245,"sub_number":0,"doc_type":"ORDER","filed_date":null,"title":"UNITED STATES BANKRUPTCY COURT DISTRICT OF CONNECTICUT BRIDGEPORT DIVISION Debtor.<sup>1</sup>","summary_zh":null,"summary_en":null,"body_en":"### **UNITED STATES BANKRUPTCY COURT DISTRICT OF CONNECTICUT BRIDGEPORT DIVISION**\n\nDebtor.<sup>1</sup>\n\n\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\n\n\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_\\_:\n\nIn re : Chapter 11 Ho Wan Kwok, : Case No. 22-50073\n\n:\n\n:\n\n: :\n\n## **LIST OF WITNESSES AND EXHIBITS OF THE OFFICIAL COMMITTEE OF UNSECURED CREDITORS**\n\nThe Official Committee of Unsecured Creditors of Ho Wan Kwok (hereinafter \"UCC\"), by its undersigned counsel, hereby submits the following list of witnesses and exhibits in connection with the Application to Employ Verdolino & Lowey, P.C. as Financial Advisor filed by Debtor Ho Wan Kwok [Docket No. 90] (the \"V&A Application\"), the Motion for Entry of Interim and Final DIP Orders (I) Authorizing the Debtor to Obtain Unsecured, Subordinated Postpetition Financing and (II) Scheduling Interim and Final Hearings, and (III) Granting Related Relief filed by Debtor Ho Wan Kwok [Docket No. 117] (the \"DIP Motion\"), and the UCC's objections thereto.\n\nWITNESSES – The following is a list of witnesses, some or all of whom may be called to testify at the hearing:\n\n- A. V&A Application: Craig Jalbert\n- B. DIP Motion: Debtor, Ho Wan Kwok\n\n<sup>1</sup> The Debtor is known by the following names: Guo Wengui; Miles Guo; Miles Kwok; and Ho Wan Kwok.\n\nThe UCC reserves the right to examine witnesses listed on other parties' witness lists, as\n\nwell as to call other witnesses not listed herein for purposes of providing rebuttal testimony.\n\n# EXHIBITS – The UCC intends to offer the following exhibits in connection with the DIP\n\n## Motion:\n\n- UCC Exhibit 1: Debtor's Declaration in Support of the Chapter 11 Case and Certain Motions\n- UCC Exhibit 2: Debtor's Proposed Interim DIP Order and Debtor-in-Possession Credit Agreement\n- UCC Exhibit 3: Jalbert April 8, 2022 Deposition Exhibit 10\n- UCC Exhibit 4: Debtor's Motion to Employ Professionals in Ordinary Course\n\nThe UCC reserves the right to offer other documentary evidence not listed herein for\n\npurposes of rebuttal.\n\nDated: Bridgeport, Connecticut April 22, 2022\n\n#### **OFFICIAL COMMITTEE OF UNSECURED CREDITORS OF HO WAN KWOK**\n\nBy: */s/Irve J. Goldman* Irve J. Goldman Jonathan A. Kaplan Pullman & Comley, LLC 850 Main Street, 8th Floor PO Box 7006 Bridgeport, CT 06601-7006 (203) 330-2213 [igoldman@pullcom.com](mailto:igoldman@pullcom.com)\n\nIts Attorneys (Application Pending)","body_zh":null,"key_entities":["Kwok","Ho Wan Kwok","Guo","Miles Guo","Je"],"ecf_references":[],"word_count":362,"status":"published","published_at":null,"created_at":null,"updated_at":"2026-07-07 08:04:03"}