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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re CORDILLERA GOLF CLUB, LLC, d/b/a The

Club at Cordillera, Debtors. ) ) ) ) ) ) ) Chapter 11 Case No. 12-11893 (CSS) (Joint Administration Pending)
Hearing Date: July 16, 2012 at 10:00 a.m. Related to 69, 77, 78, 95, 117 and 118

JOINDER OF DAVID A. WILHELM TO OBJECTION OF DEBTOR TO (I) MOTION OF CHERYL M. FOLEY, THOMAS WILNER, JANE WILNER, CHARLES JACKSON, MARY JACKSON AND KEVIN B. ALLEN, INDIVIDUALLY AND AS REPRESENTATIVES OF A CERTIFIED CLASS OF MEMBERS, TO TRANSFER VENUE (D.I. 69), (II) MOTION OF CORDILLERA PROPERTY OWNERS ASSOCIATION, INC. AND CORDILLERA METROPOLITAN DISTRICT TO TRANSFER VENUE TO COLORADO AND JOINDER IN THE MOTION OF CHERYL M. FOLEY, THOMAS WILNER, JANE WILNER, CHARLES JACKSON, MARY JACKSON AND KEVIN B. ALLEN, INDIVIDUALLY AND AS REPRESENTATIVES OF A CERTIFIED CLASS OF MEMBERS, TO TRANSFER VENUE (D.I. 78), AND (III) JOINDERS OF ALPINE BANK IN VENUE TRANSFER MOTIONS (D.I. 77 & 95) David A. Wilhelm, by and through his undersigned counsel, hereby submits this joinder in the objection (D.I. 118) (the Objection) of Cordillera Gold Club, LLC, debtor and debtor-inpossession (the Debtor), to: (i) the Motion of Cheryl M. Foley, Thomas Wilner, Jane Wilner, Charles Jackson, Mary Jackson And Kevin B. Allen, Individually And As Representatives Of A Certified Class Of Members, To Transfer Venue (D.I. 69); (ii) the Motion Of Cordillera Property Owners Association, Inc. And Cordillera Metropolitan District To Transfer Venue To Colorado And Joinder In The Motion Of Cheryl M. Foley, Thomas Wilner, Jane Wilner, Charles Jackson, Mary Jackson And Kevin B. Allen, Individually And As Representatives Of A Certified Class Of Members, To Transfer Venue (D.I. 78); and (iii) Joinders Of Alpine Bank In Venue Transfer Motions (D.I. No. 77 and 95) (collectively, the Venue Transfer Requests). Mr. Wilhelm joins in and incorporates by reference the arguments presented in the Debtors Objection, and in support, states as follows:

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1.

Mr. Wilhelm is a substantial equity owner in the Debtor and also holds a secured

claim against the Debtors in the approximate amount of $7,000,000. 2. For the reasons set forth in the Debtors Objection, Mr. Wilhelm opposes transfer

of venue of this case from Delaware and respectfully submits that the interests of the Debtor, its estate, its creditors and other parties in interest are best served by this Court retaining venue of this case. WHEREFORE, Mr. Wilhelm, joins in the Debtors Objection and respectfully requests that the requests that the Venue Transfer Requests be denied and that the Court grant such other and further relief to the Debtor and Mr. Wilhelm as is just and equitable.

Dated: July 11, 2012

DUANE MORRIS LLP /s/ Richard W. Riley Richard W. Riley (No. 4052) 222 Delaware Avenue, Suite 1600 Wilmington, DE 19801-1659 Telephone: (302) 657-4900 Facsimile: (302) 657-4901 E-Mail: rwriley@duanmorris.com and James J. Holman (No. 5617) Duane Morris LLP 30 South 17th Street Philadelphia, PA 19103-4196 Telephone: (215) 979-1530 Facsimile: (215) 689-2562 E-mail: jjholman@duanemorris.com Counsel to David A. Wilhelm

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