Case KG Doc 3307 Filed 11/21/17 Page 1 of 7 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

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Case 15-11874-KG Doc 3307 Filed 11/21/17 Page 1 of 7 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: Chapter 11 HH Liquidation, LLC, et al., 1 Case No. 15-11874 (KG Debtors. (Jointly Administered Response Deadline: December 8, 2017 at 4:00 p.m. (ET Hearing Date: December 21, 2017 at 3:00 p.m. (ET DEBTORS SEVENTEENTH (17TH OMNIBUS (NON-SUBSTANTIVE OBJECTION TO CLAIMS PURSUANT TO SECTION 502 OF THE BANKRUPTCY CODE, BANKRUPTCY RULE 3007 AND LOCAL RULE 3007-1 PARTIES RECEIVING THIS OBJECTION SHOULD LOCATE THEIR NAMES AND THEIR DISPUTED CLAIMS IDENTIFIED ON EXHIBIT A TO THE PROPOSED ORDER HH Liquidation, LLC (f/k/a Haggen Holdings, LLC and its above-captioned affiliated debtors and debtors in possession (each, a Debtor, and collectively, the Debtors hereby file this objection (this Objection, pursuant to section 502 of title 11 of the United States Code, 11 U.S.C. 101 et seq. (the Bankruptcy Code, Rule 3007 of the Federal Rules of Bankruptcy Procedure (the Bankruptcy Rules, and Rule 3007-1 of the Local Rules of Bankruptcy Practice and Procedure of the United States Bankruptcy Court for the District of Delaware (the Local Rules, to each of the claims filed against the Debtors and their estates that are listed on Exhibit A (collectively, the Disputed Claims to the proposed form of order attached hereto as Exhibit 2 (the Proposed Order, and request the entry of the Proposed Order disallowing and expunging the Disputed Claims, as indicated in further detail below and 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor s federal tax identification number, are: HH Liquidation, LLC (f/k/a Haggen Holdings, LLC (7558, HH Operations, LLC (f/k/a Haggen Operations Holdings, LLC (6341, HH Opco South, LLC (f/k/a Haggen Opco South, LLC (7257, HH Opco North, LLC (f/k/a Haggen Opco North, LLC (5028, HH Acquisition, LLC (f/k/a Haggen Acquisition, LLC (7687, and HH Legacy, Inc. (f/k/a Haggen, Inc. (4583. The mailing address for each of the Debtors is 26895 Aliso Creek Road, Suite B-1003, Aliso Viejo, CA 92656.

Case 15-11874-KG Doc 3307 Filed 11/21/17 Page 2 of 7 on Exhibit A to the Proposed Order. In support of this Objection, the Debtors rely on the declaration of Blake Barnett (the Barnett Declaration, a copy of which is attached hereto as Exhibit 1. In further support of this Objection, the Debtors respectfully represent as follows: Jurisdiction and Venue 1. The Court has jurisdiction over this matter pursuant to 28 U.S.C. 157 and 1334, and the Amended Standing Order of Reference from the United States District Court for the District of Delaware, dated as of February 29, 2012 (the Amended Standing Order. This is a core proceeding pursuant to 28 U.S.C. 157(b(2, and the Court may enter a final order consistent with Article III of the United States Constitution. Venue is proper in this Court pursuant to 28 U.S.C. 1408 and 1409. The statutory and legal predicates for the relief sought herein are section 502 of the Bankruptcy Code, Bankruptcy Rule 3007 and Local Rule 3007-1. General Background 2. On September 8, 2015 at 11:06 p.m. (ET, the Debtors filed voluntary petitions for relief under chapter 11 of the Bankruptcy Code. The Debtors are operating their businesses and managing their properties as debtors-in-possession pursuant to sections 1107(a and 1108 of the Bankruptcy Code. These chapter 11 cases are being jointly administered for procedural purposes pursuant to Bankruptcy Rule 1015(b. No request for the appointment of a trustee or examiner has been made in these chapter 11 cases. 3. On September 21, 2015, the United States Trustee for the District of Delaware (the U.S. Trustee appointed the official committee of unsecured creditors (the Creditors Committee pursuant to section 1102 of the Bankruptcy Code. 4. Information about the Debtors business, capital structure and the events leading up to the commencement of these chapter 11 cases are set forth in the Declaration of 2

Case 15-11874-KG Doc 3307 Filed 11/21/17 Page 3 of 7 Blake Barnett in Support of Debtors Chapter 11 Petitions and First-Day Motions [Docket No. 15], which is incorporated herein by reference. Debtors Schedules 5. On October 12, 2015, each of the Debtors filed their Schedules of Assets and Liabilities [Docket Nos. 374, 376, 378, 380, 382 and 384], and on December 28, 2015, certain of the Debtors amended their Schedules of Assets and Liabilities [Docket Nos. 1099-1107]. Proofs of Claim and Bar Date Order 6. On September 10, 2015, the Court entered an order [Docket No. 46] appointing Kurtzman Carson Consultants LLC ( KCC as claims and noticing agent in these chapter 11 cases. Among other things, KCC is authorized to (a receive, maintain, and record and otherwise administer the proofs of claim filed in these chapter 11 cases and (b maintain official claims registers for each of the Debtors. 7. On November 6, 2015, the Court entered an order [Docket No. 617] (the Bar Date Order providing that, except as otherwise provided therein, (i all persons or entities (including, without limitation, individuals, partnerships, corporations, joint ventures, and trusts that assert a claim, as defined in section 101(5 of the Bankruptcy Code, against the Debtors, including, without limitation, secured claims and priority claims, which arose on or prior to the commencement of these chapter 11 cases, shall file a proof of any such claim so that it is actually received on or before 5:00 p.m. (prevailing Eastern Time on January 4, 2016 (the General Bar Date, 2 and (ii all governmental units, as defined in section 101(27 of the 2 As noted in the Bar Date Order, the deadline for filing any claims asserted pursuant to section 503(b(9 of the Bankruptcy Code ( Asserted 503(b(9 Claims was established pursuant to the Final Order, Pursuant to Sections 105(a, 363(b, 503(b, 1107(a and 1108 of the Bankruptcy Code, (I Authorizing the Debtors to Pay Certain Prepetition Claims (A Arising Under the Perishable Agricultural Commodities Act and the Packers and Stockyards 3

Case 15-11874-KG Doc 3307 Filed 11/21/17 Page 4 of 7 Bankruptcy Code, shall file a proof of any such claim so that it is actually received on or before 5:00 p.m. (prevailing Eastern Time on March 7, 2016 (the Government Bar Date. 8. The Bar Date Order also provides that if the Debtors amend or supplement the Schedules subsequent to the date of service of the Bar Date Notice (as defined in the Bar Date Order, then the Debtors shall give notice of any such amendment or supplement to the holders of claims affected thereby, and such holders shall be afforded the later of (i the General Bar Date or (ii 5:00 p.m. (prevailing Eastern Time on the date that is thirty (30 days from the date on which such notice is given, to file proofs of claim in respect of their claims (the Amended Schedules Bar Date. 9. Additionally, pursuant to the Bar Date Order, any person or entity that holds a claim (each, a Rejection Damages Claim that arises from the rejection of an executory contract or unexpired lease must file a proof of claim based on such rejection on or before the later of (i the General Bar Date or (ii 5:00 p.m. (prevailing Eastern Time on the date that is thirty (30 days following the entry of the order approving the rejection of the executory contract or unexpired lease pursuant to which the entity asserting the Rejection Damages Claim is a party (collectively with the General Bar Date, the 503(b(9 Bar Date, the Government Bar Date, and the Amended Schedules Bar Date, the Bar Dates. 10. Notice of the Bar Dates was provided by mail and publication in accordance with the procedures outlined in the Bar Date Order. Act of 1921, (B of Lien Vendors, and (C of Critical Vendors and Service Providers, (II Authorizing Banks to Honor and Process Check and Electronic Transfer Requests Related Thereto, (III Establishing Exclusive Procedures for the Assertion, Resolution, Allowance, and Satisfaction of Claims Arising Under Section 503(b(9 of the Bankruptcy Code, and (IV Granting Certain Related Relief [Docket No. 387] (the 503(b(9 Claim Bar Date Order. Pursuant to the 503(b(9 Claim Bar Date Order, December 14, 2015 at 4:00 p.m. (ET was the deadline for any Asserted 503(b(9 Claims to be filed (the 503(b(9 Bar Date. 4

Case 15-11874-KG Doc 3307 Filed 11/21/17 Page 5 of 7 Relief Requested 11. By this Objection, the Debtors request that the Court enter the Proposed Order, pursuant to section 502(b of the Bankruptcy Code, Bankruptcy Rule 3007 and Local Rule 3007-1, disallowing and expunging the Disputed Claims, as indicated in further detail below and on Exhibit A to the Proposed Order. 12. In accordance with Local Rule 3007-1(e(i(E, the Debtors believe that this Objection complies in all material respects with Local Rule 3007-1. Objection to Disputed Claims 13. The establishment and enforcement of bar dates for the filing of proofs of claim furthers the policy of finality designed to protect the interests of a debtor and his diligent creditors and the expeditious administration of the bankruptcy case. In re New Century TRS Holdings, Inc., No. 07-10416 (BLS, 2014 WL 2198247, at *4 (Bankr. D. Del. May 23, 2014 (quoting In re US Airways, Inc., No. 04-13819-SSM, 2005 WL 3676186, at *7 -*8 (Bankr. E.D. Va. Nov. 21, 2005. Bar dates are essential to the success of chapter 11 cases because they provide debtors, creditors, and other parties in interest, including asset-purchasers or plan sponsors, with an accurate and reasonably final picture of a debtor s liabilities. Simply put, parties to chapter 11 proceedings rely on the finality of bar dates. 14. Each of the Disputed Claims listed on Exhibit A to the Proposed Order (together, the Late-Filed Claims was filed nearly a year and a half after the General Bar Date, despite each claimant having received timely and sufficient notice thereof. 3 See Docket No. 804. The claimants have provided no justification for this substantial and significant delay. 3 The Late-Filed Claim filed by Helen Neville, proof of claim no. 1899, asserts administrative priority under section 503(b(9 of the Bankruptcy Code. However, as is evident from the proof of claim, the claim is for services allegedly rendered to the Debtors, and thus clearly not entitled to priority pursuant to section 503(b(9 of the Bankruptcy Code. As a result, concurrently with the filing of this Objection, the Debtors have filed an objection 5

Case 15-11874-KG Doc 3307 Filed 11/21/17 Page 6 of 7 15. Accordingly, the Debtors object to the Late-Filed Claims, and request entry of the Proposed Order disallowing and expunging each of the Late-Filed Claims. Responses to this Objection 16. Any responses to this Objection must be filed on or before 4:00 p.m. (ET on December 8, 2017, in accordance with the procedures set forth in the notice of this Objection. Reservation of Rights 17. The Debtors reserve the right to adjourn the hearing on any Disputed Claim, and in the event that the Debtors do so, the Debtors will state the same in the agenda for the hearing on that Disputed Claim, which agenda will be served on the claimant. 18. The Debtors and their estates reserve any and all rights to amend, supplement or otherwise modify this Objection, the Proposed Order, or Exhibit A thereto and to file additional objections to any and all claims filed in these chapter 11 cases, including, without limitation, any and all of the Disputed Claims. The Debtors and their estates also reserve any and all rights, claims and defenses with respect to any and all of the Disputed Claims, and nothing included in or omitted from this Objection, the Proposed Order, or Exhibit A thereto is intended or shall be deemed to impair, prejudice, waive or otherwise affect any rights, claims, or defenses of the Debtors and their estates with respect to the Disputed Claims. Notice 19. Notice of this Objection has been provided to the following parties: (i the U.S. Trustee; (ii counsel to the Creditors Committee; (iii counsel to the Debtors post-petition lenders; (iv all parties that, as of the filing of this Objection, have requested notice in these seeking to reclassify the claim to a general unsecured claim. Therefore, for purposes of this Objection and this Late- Filed Claim, the Debtors have treated the General Bar Date as the relevant Bar Date. 6

Case 15-11874-KG Doc 3307 Filed 11/21/17 Page 7 of 7 chapter 11 cases pursuant to Bankruptcy Rule 2002; and (v claimants whose Disputed Claims are subject to this Objection. The Debtors submit that, in light of the nature of the relief requested, no other or further notice need be given. Conclusion WHEREFORE, for the reasons set forth herein, the Debtors respectfully request that the Court (a enter the Proposed Order, and (b grant such other and further relief as may be just and proper. Dated: November 21, 2017 Wilmington, Delaware YOUNG CONAWAY STARGATT & TAYLOR, LLP /s/ Robert F. Poppiti, Jr. Matthew B. Lunn (No. 4119 Robert F. Poppiti, Jr. (No. 5052 Ian J. Bambrick (No. 5455 Shane M. Reil (No. 6195 Rodney Square 1000 North King Street Wilmington, Delaware 19801 Telephone: (302 571-6600 Facsimile: (302 571-1256 -and- STROOCK & STROOCK & LAVAN LLP Frank A. Merola Sayan Bhattacharyya 180 Maiden Lane New York, New York 10038 Telephone: (212 806-5400 Facsimile: (212 806-6006 COUNSEL TO THE DEBTORS AND DEBTORS-IN-POSSESSION 7

Case 15-11874-KG Doc 3307-1 Filed 11/21/17 Page 1 of 3 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: Chapter 11 HH Liquidation, LLC, et al., 1 Case No. 15-11874 (KG Debtors. (Jointly Administered Response Deadline: December 8, 2017 at 4:00 p.m. (ET Hearing Date: December 21, 2017 at 3:00 p.m. (ET NOTICE OF DEBTORS SEVENTEENTH (17TH OMNIBUS (NON-SUBSTANTIVE OBJECTION TO CLAIMS PURSUANT TO SECTION 502 OF THE BANKRUPTCY CODE, BANKRUPTCY RULE 3007 AND LOCAL RULE 3007-1 PARTIES RECEIVING THIS NOTICE SHOULD LOCATE THEIR NAMES AND THEIR DISPUTED CLAIMS IDENTIFIED ON EXHIBIT A TO THE PROPOSED ORDER TO: (I THE U.S. TRUSTEE; (II COUNSEL TO THE CREDITORS COMMITTEE; (III COUNSEL TO THE DEBTORS POST-PETITION LENDERS; (IV ALL PARTIES THAT, AS OF THE FILING OF THIS NOTICE, HAVE REQUESTED NOTICE IN THESE CHAPTER 11 CASES PURSUANT TO BANKRUPTCY RULE 2002; AND (V CLAIMANTS WHOSE DISPUTED CLAIMS ARE SUBJECT TO THE OBJECTION PLEASE TAKE NOTICE that HH Liquidation, LLC (f/k/a Haggen Holdings, LLC and its above-captioned affiliated debtors and debtors in possession (each, a Debtor, and collectively, the Debtors have filed the attached Debtors Seventeenth (17th Omnibus (Non-Substantive Objection to Claims Pursuant to Section 502 of the Bankruptcy Code, Bankruptcy Rule 3007 and Local Rule 3007-1 (the Objection. 2 PLEASE TAKE FURTHER NOTICE that any responses (each, a Response to the relief requested in the Objection must be filed on or before December 8, 2017 at 4:00 p.m. (ET (the Response Deadline with the United States Bankruptcy Court for the District of Delaware, 824 Market Street, 3 rd Floor, Wilmington, Delaware 19801. At the same time, any 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor s federal tax identification number, are: HH Liquidation, LLC (f/k/a Haggen Holdings, LLC (7558, HH Operations, LLC (f/k/a Haggen Operations Holdings, LLC (6341, HH Opco South, LLC (f/k/a Haggen Opco South, LLC (7257, HH Opco North, LLC (f/k/a Haggen Opco North, LLC (5028, HH Acquisition, LLC (f/k/a Haggen Acquisition, LLC (7687, and HH Legacy, Inc. (f/k/a Haggen, Inc. (4583. The mailing address for each of the Debtors is 26895 Aliso Creek Road, Suite B-1003, Aliso Viejo, CA 92656. 2 Capitalized terms used but not otherwise defined herein shall have the meanings ascribed to such terms in the Objection.

Case 15-11874-KG Doc 3307-1 Filed 11/21/17 Page 2 of 3 party submitting a Response (each, a Respondent must serve a copy of its Response upon the undersigned counsel to the Debtors so as to be received on or before the Response Deadline. PLEASE TAKE FURTHER NOTICE that any Response must contain, at a minimum, the following: a. a caption setting forth the name of the Court, the above-referenced case number and the title of the Objection to which the Response is directed; b. the name of the Respondent and a description of the basis for the amount and classification asserted in the Disputed Claim, if applicable; c. a concise statement setting forth the reasons why the particular Disputed Claim should not be disallowed, reclassified or otherwise modified for the reasons set forth in the Objection, including, but not limited to, the specific factual and legal bases upon which the claimant will rely in opposing the Objection at any hearing thereon; d. all documentation or other evidence of the particular Disputed Claim or asserted amount and classification thereof, to the extent not already included with the proof of claim previously filed, upon which the Respondent will rely in opposing the Objection at any hearing thereon; and e. the name, address, telephone number and email address of the person(s (who may be the Respondent or a legal representative thereof (i possessing ultimate authority to reconcile, settle or otherwise resolve the Disputed Claim on behalf of the Respondent and (ii to whom the Debtors should serve any reply to the Response. PLEASE TAKE FURTHER NOTICE THAT A HEARING (THE HEARING ON THE OBJECTION WILL BE HELD ON DECEMBER 21, 2017 AT 3:00 P.M. (ET BEFORE THE HONORABLE KEVIN GROSS, UNITED STATES BANKRUPTCY JUDGE, IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE, 824 N. MARKET STREET, 6TH FLOOR, COURTROOM NO. 3, WILMINGTON, DE 19801. PLEASE TAKE FURTHER NOTICE THAT IF YOU ARE A CLAIMANT AND FAIL TO TIMELY FILE AND SERVE A RESPONSE IN ACCORDANCE WITH THE ABOVE REQUIREMENTS, YOU WILL BE DEEMED TO HAVE CONCURRED WITH AND CONSENTED TO THE OBJECTION AND THE RELIEF REQUESTED THEREIN, AND THE DEBTORS WILL PRESENT TO THE COURT, WITHOUT FURTHER NOTICE TO YOU, THE PROPOSED ORDER SUSTAINING THE OBJECTION. 2

Case 15-11874-KG Doc 3307-1 Filed 11/21/17 Page 3 of 3 PLEASE TAKE FURTHER NOTICE THAT QUESTIONS CONCERNING THE OBJECTION SHOULD BE DIRECTED TO THE UNDERSIGNED COUNSEL FOR THE DEBTORS, TO THE ATTENTION OF SHANE M. REIL. CLAIMANTS SHOULD NOT CONTACT THE CLERK OF THE COURT TO DISCUSS THE MERITS OF THEIR DISPUTED CLAIMS OR THE OBJECTION. Dated: November 21, 2017 Wilmington, Delaware YOUNG CONAWAY STARGATT & TAYLOR, LLP /s/ Robert F. Poppiti, Jr. Matthew B. Lunn (No. 4119 Robert F. Poppiti, Jr. (No. 5052 Ian J. Bambrick (No. 5455 Shane M. Reil (No. 6195 Rodney Square 1000 North King Street Wilmington, Delaware 19801 Telephone: (302 571-6600 Facsimile: (302 571-1256 -and- STROOCK & STROOCK & LAVAN LLP Frank A. Merola Sayan Bhattacharyya 180 Maiden Lane New York, New York 10038 Telephone: (212 806-5400 Facsimile: (212 806-6006 COUNSEL TO THE DEBTORS AND DEBTORS-IN-POSSESSION 3

Case 15-11874-KG Doc 3307-2 Filed 11/21/17 Page 1 of 9 EXHIBIT 1 Barnett Declaration

Case 15-11874-KG Doc 3307-2 Filed 11/21/17 Page 2 of 9 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: Chapter 11 HH Liquidation, LLC, et al., 1 Case No. 15-11874 (KG Debtors. (Jointly Administered DECLARATION OF BLAKE BARNETT IN SUPPORT OF DEBTORS SEVENTEENTH (17TH OMNIBUS (NON-SUBSTANTIVE OBJECTION TO CLAIMS PURSUANT TO SECTION 502 OF THE BANKRUPTCY CODE, BANKRUPTCY RULE 3007 AND LOCAL RULE 3007-1 I, BLAKE BARNETT, pursuant to 28 U.S.C. 1746, declare: 1. I am a consultant to HH Liquidation, LLC (f/k/a Haggen Holdings, LLC and its above-captioned affiliated debtors and debtors in possession (each, a Debtor, and collectively, the Debtors and served as Chief Financial Officer to the Debtors until June 18, 2016. I am one of the persons responsible for overseeing the claims reconciliation and objection process in these chapter 11 cases. I have read the Debtors Seventeenth (17th Omnibus (Non- Substantive Objection to Claims Pursuant to Section 502 of the Bankruptcy Code, Bankruptcy Rule 3007 and Local Rule 3007-1 (the Objection, 2 and am directly, or by and through other personnel or representatives of the Debtors, reasonably familiar with the information contained therein, the Proposed Order, and the exhibit attached to the Proposed Order. I am authorized to execute this declaration on behalf of the Debtors. 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor s federal tax identification number, are: HH Liquidation, LLC (f/k/a Haggen Holdings, LLC (7558, HH Operations, LLC (f/k/a Haggen Operations Holdings, LLC (6341, HH Opco South, LLC (f/k/a Haggen Opco South, LLC (7257, HH Opco North, LLC (f/k/a Haggen Opco North, LLC (5028, HH Acquisition, LLC (f/k/a Haggen Acquisition, LLC (7687, and HH Legacy, Inc. (f/k/a Haggen, Inc. (4583. The mailing address for each of the Debtors is 26895 Aliso Creek Road, Suite B-1003, Aliso Viejo, CA 92656. 2 Capitalized terms used but not otherwise defined herein shall have the meanings ascribed to such terms in the Objection.

Case 15-11874-KG Doc 3307-2 Filed 11/21/17 Page 3 of 9 2. Considerable resources and time have been expended in reviewing and reconciling the proofs of claim filed or pending against the Debtors and their estates in these chapter 11 cases. The Disputed Claims were carefully reviewed and analyzed in good faith utilizing due diligence by the appropriate personnel and representatives of the Debtors. These efforts resulted in the identification of the Disputed Claims. 3. The information contained in Exhibit A to the Proposed Order is true and correct to the best of my knowledge, information and belief. 4. The Debtors have determined based upon a review of the claims register that the Late-Filed Claims were filed long after the General Bar Date, despite the claimants having received timely and sufficient notice thereof. Accordingly, to prevent the claimants from potentially receiving an unwarranted recovery from the Debtors estates, the Debtors seek to disallow and expunge the Late-Filed Claims. 5. I declare under penalty of perjury that the foregoing information is true and correct to the best of my knowledge, information and belief. Executed on November 21, 2017 /s/ Blake Barnett Blake Barnett 2

Case 15-11874-KG Doc 3307-2 Filed 11/21/17 Page 4 of 9 EXHIBIT 2 Proposed Order

Case 15-11874-KG Doc 3307-2 Filed 11/21/17 Page 5 of 9 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: Chapter 11 HH Liquidation, LLC, et al., 1 Case No. 15-11874 (KG Debtors. (Jointly Administered Ref. Docket No. ORDER SUSTAINING DEBTORS SEVENTEENTH (17TH OMNIBUS (NON- SUBSTANTIVE OBJECTION TO CLAIMS PURSUANT TO SECTION 502 OF THE BANKRUPTCY CODE, BANKRUPTCY RULE 3007 AND LOCAL RULE 3007-1 Upon consideration of the Debtors Seventeenth (17th Omnibus (Non- Substantive Objection to Claims Pursuant to Section 502 of the Bankruptcy Code, Bankruptcy Rule 3007 and Local Rule 3007-1 (the Objection 2 and the Barnett Declaration; and it appearing that this Court has jurisdiction to consider the Objection pursuant to 28 U.S.C. 157 and 1334 and the Amended Standing Order; and it appearing that venue of these chapter 11 cases and the Objection in this district is proper pursuant to 28 U.S.C. 1408 and 1409; and it appearing that this matter is a core proceeding pursuant to 28 U.S.C. 157(b; and this Court having determined that the relief requested in the Objection is in the best interests of the Debtors, their estates, their creditors and other parties in interest; and it appearing that notice of the Objection was good and sufficient upon the particular circumstances and that no other or further notice need be given; and upon the record herein; and after due deliberation thereon and good 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor s federal tax identification number, are: HH Liquidation, LLC (f/k/a Haggen Holdings, LLC (7558, HH Operations, LLC (f/k/a Haggen Operations Holdings, LLC (6341, HH Opco South, LLC (f/k/a Haggen Opco South, LLC (7257, HH Opco North, LLC (f/k/a Haggen Opco North, LLC (5028, HH Acquisition, LLC (f/k/a Haggen Acquisition, LLC (7687, and HH Legacy, Inc. (f/k/a Haggen, Inc. (4583. The mailing address for each of the Debtors is 26895 Aliso Creek Road, Suite B-1003, Aliso Viejo, CA 92656. 2 Capitalized terms used but not otherwise defined herein shall have the meanings ascribed to such terms in the Objection.

Case 15-11874-KG Doc 3307-2 Filed 11/21/17 Page 6 of 9 and sufficient cause appearing therefor; it is hereby ORDERED, ADJUDGED, AND DECREED THAT: 1. The Objection is SUSTAINED, as set forth herein. 2. The Late-Filed Claims identified on Exhibit A to this Order are hereby disallowed and expunged in their entirety. 3. The Debtors objection to each Disputed Claim addressed in the Objection constitutes a separate contested matter as contemplated by Bankruptcy Rule 9014. This Order shall be deemed a separate Order with respect to each claim. Any stay of this Order pending appeal by any of the claimants subject to this Order shall only apply to the contested matter which involves such claimant and shall not act to stay the applicability and/or finality of this Order with respect to the other contested matters covered hereby. 4. Any and all rights of the Debtors and their estates to amend, supplement or otherwise modify the Objection and to file additional objections to any and all claims filed in these chapter 11 cases, including, without limitation, any and all of the Disputed Claims, shall be reserved. Any and all rights, claims and defenses of the Debtors and their estates with respect to any and all of the Disputed Claims shall be reserved, and nothing included in or omitted from the Objection is intended or shall be deemed to impair, prejudice, waive or otherwise affect any rights, claims, or defenses of the Debtors and their estates with respect to the Disputed Claims. 2

Case 15-11874-KG Doc 3307-2 Filed 11/21/17 Page 7 of 9 5. This Court shall retain jurisdiction over any and all affected parties with respect to any and all matters, claims or rights arising from or related to the implementation or interpretation of this Order. Dated: December, 2017 Wilmington, Delaware Kevin Gross United States Bankruptcy Judge 3

Case 15-11874-KG Doc 3307-2 Filed 11/21/17 Page 8 of 9 EXHIBIT A 1 Late-Filed Claims 1 Capitalized terms used but not otherwise defined on Exhibit A shall have the meanings ascribed to such terms in the Objection.

01:22565224.1 Case 15-11874-KG Doc 3307-2 Filed 11/21/17 Page 9 of 9 HH Liquidation, LLC (f/k/a Haggen Holdings, LLC, et al., Case No. 15-11874 SEVENTEENTH OMNIBUS: EXHIBIT A Late Filed Claims NAME 1 NEVILLE, HELEN 1051 CHUCKANUT DR. BELLINGHAM, WA 98229 2 SEFATI, SAMIN MOSS BERG INJURY LAWYERS 4101 MEADOW LANE, SUITE 110 LAS VEGAS, NV 89107 CASE NUMBER 15-11874 (KG 15-11876 (KG DEBTOR NAME HH Liquidation, LLC (f/k/a Haggen Holdings, LLC HH Opco South, LLC (f/k/a Haggen Opco South, LLC FILED DATE CLAIM # TOTAL CLAIM DOLLARS REASON FOR DISALLOWANCE 06/12/2017 1899 $2,280.44 Claim was filed after the General Bar Date of January 4, 2016 and after the 503(b(9 Bar Date of December 14, 2015. See Docket Nos. 410 & 665. 05/31/2017 1898 $35,651.00 Claim was filed after the General Bar Date of January 4, 2016. See Docket No. 665. TOTAL $37,931.44 Page 1 of 1