{"id":"court_ctb_767_0","court":"CTB","case_no":"22-50073","doc_number":767,"sub_number":0,"doc_type":"ORDER","filed_date":"2022-08-18","title":"UNITED STATES BANKRUPTCY COURT DISTRICT OF CONNECTICUT BRIDGEPORT DIVISION HO WAN KWOK,","summary_zh":null,"summary_en":null,"body_en":"## UNITED STATES BANKRUPTCY COURT DISTRICT OF CONNECTICUT BRIDGEPORT DIVISION\n\nHO WAN KWOK,\n\nDebtor.\n\nChapter 11\n\nCase No. 22-50073 (JAM)\n\n# AFFIDAVIT OF SERVICE\n\nTimothy D. Miltenberger, being duly sworn, states and avers as follows:\n\n- 1. I am over eighteen years of age and believe in the obligations of an oath.\n- 2. On August 18,2022,I caused a copy of the Order Granting Motion to Withdraw Appearances (the \"Withdrawal Order\"), attached hereto as Exhibit A, to be mailed via First Class Mail to the following:\n\nMelissa B. Francis General Counsel Golden Spring (New York) Ltd. 162 East 64th Street New York, NY 10065 melissaf@gsnus.com\n\nYvette Wang Golden Spring (New York) Ltd. 162East 64th Street New York, NY 10065 v vettei,vfg) gsny us. 0orn\n\n3. On August 18,2022,I sent a copy of the Withdrawal Order via email to Melissa Francis at mel i ssaf{4) gsnus. c:om and Yvette Wang at yvettew(@ gsnyu s. conl.\n\nTimothy D\n\nSubscribed to and sworn before me, this 18th day of August 2022.\n\nMeli Sullivan, Notary Public My Commission Expires: September 30,2026\n\nCase 22-50073 Doc 760 Filed 081L7122 Entered O81L712215:14:3L Page 1 of <sup>1</sup> Case 22-50073 Doc 767 Filed 08/18/22 Entered 08/18/22 14:28:41 Page 2 of 2\n\n#### **EXHIBIT A**\n\n### UNITED STATAS BANKRUPTCY COURT DISTRICT OF CONNECTICUT BRIDGEPORT DIVISION\n\nHo Wan Kwok,\n\nIn re: Chapter I <sup>I</sup>\n\nCase No. 22-50073 (JAM)\n\nRe: ECF 736\n\nDebtor\n\n## ORDER GRANTING MOTION WITHDRAW APPEARANCBS\n\nThe Motion to Withdraw Appearances of Timothy D. Miltenberger and Scott D. Rosen as counsel for Golden Spring (New York) Limited (\"GSNY\") [ECF 736] having been presented to this Court, and based upon the representations of counsel set forth in the Motion good cause exists for the granting of the Motion, and the Motion having been served upon GSNY;\n\nNOW, THEREFORE, IT IS HEREBY\n\nORDERED that the appearances of Timothy D. Miltenberger and Scott D. Rosen as counsel for GSNY in this proceeding are hereby withdrawn; and it is\n\nFURTHER ORDERED that counsel shall serve a copy of this order on GSNY by email and first class mail at GSNY's addresses set forth in the Certificate of Service appended to the Motion within three (3) days after the entry of this this Order, and counsel shall promptly thereafter file an affidavit of service.\n\nDated at Bridgeport, Connecticut this lTth day of August, 2022\n\nlutte fr\".,tYthnninn 1tirri! r.r/' Srpleg jfuitdrl <sup>y</sup>t r r1it n Int {)i-ct ri1,;ry1 6'Xil{lt ttiat u-1,- -, .t'","body_zh":null,"key_entities":["Kwok","Ho Wan Kwok"],"ecf_references":[{"doc_number":736,"court":"CTB"},{"doc_number":760,"court":"CTB"}],"word_count":408,"status":"published","published_at":"2022-08-18 00:00:00","created_at":"2022-08-18","updated_at":"2026-07-07 08:28:54"}