Genesis Global Holdco, LLC

CourtUnited States Bankruptcy Court, S.D. New York
DecidedAugust 4, 2023
Docket23-10063
StatusUnknown

This text of Genesis Global Holdco, LLC (Genesis Global Holdco, LLC) is published on Counsel Stack Legal Research, covering United States Bankruptcy Court, S.D. New York primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Genesis Global Holdco, LLC, (N.Y. 2023).

Opinion

UNITED STATES BANKRUPTCY COURT FOR PUBLICATION SOUTHERN DISTRICT OF NEW YORK ---------------------------------------------------------------x In re Chapter 11

GENESIS GLOBAL HOLDCO, LLC, et al. Case No. 23-10063 (SHL)

Debtors. (Jointly Administered) ---------------------------------------------------------------x

MEMORANDUM OF DECISION1

A P P E A R A N C E S:

CLEARY GOTTLIEB STEEN & HAMILTON LLP Counsel for the Debtors One Liberty Plaza New York, New York 10006 By: Sean A. O’Neal, Esq. Jane VanLare, Esq. Hoori Kim, Esq.

WHITE & CASE LLP Counsel for the Official Committee of Unsecured Creditors 1221 Avenue of the Americas New York, New York 10020 By: J. Christopher Shore, Esq. Philip Abelson, Esq. David Turetsky, Esq. Michele J. Meises, Esq.

-and-

111 South Wacker Drive, Suite 5100 Chicago, Illinois 60606-4302 By: Gregory F. Pesce, Esq.

1 Unless otherwise indicated, references in this Memorandum of Decision to docket entries on the Case Management/Electronic Case Files (“ECF”) system are to Case No. 23-10063. WILLIAM K. HARRINGTON United States Trustee Office of the United States Trustee Alexander Hamilton Custom House One Bowling Green, Suite 515 New York, New York 10004 By: Greg Zipes, Esq. Benjamin Teich, Esq. Tara Tiantian, Esq.

PROSKAUER ROSE LLP Counsel for the Ad Hoc Group of Genesis Lenders Eleven Times Square New York, New York 10036 By: Brian S. Rosen, Esq. Vincent Indelicato, Esq. Megan R. Volin, Esq.

70 West Madison, Suite 3800 Chicago, Illinois 60602 By: Jordan E. Sazant, Esq.

SEAN H. LANE UNITED STATES BANKRUPTCY JUDGE

Before the Court are several motions seeking the redaction of personally identifiable information from public filings in the Chapter 11 cases of the above-captioned debtors (the “Debtors”).2 The motions were filed by the Debtors and the Official Committee of Unsecured

2 The motions at issue are:  Debtors’ Motion for Entry of Interim and Final Orders Waiving the Requirement that Each Debtor File a List of Creditors and Authorizing Preparation of a Consolidated List of Creditors, in Lieu of Submitting a Formatted Mailing Matrix, (II) Authorizing the Debtors to File a Consolidated List of the Debtors’ Fifty (50) Largest Unsecured Creditors, (III) Authorizing the Debtors to Redact Certain Personally Identifiable Information, and (IV) Granting Related Relief [ECF No. 14] (the “Creditor Matrix Motion”);

 Debtors’ Motion Pursuant to 11 U.S.C. §§ 107(b), 107(c), and 105(a) for Entry of an Order Authorizing the Debtors to Redact and File Under Seal Certain Information About the Confidential Parties Listed in the Debtors’ Professional Retention Applications and Schedules [ECF No. 67] (the “Sealing Motion”); and Creditors that has been appointed in the above-captioned cases (the “Committee”), with these Motions joined by an ad hoc group of the Debtors’ lenders (the “Ad Hoc Group,” and together with the Debtors and the Committee, the “Movants”). The Movants argue that the information here—primarily the personally identifiable information of the Debtors’ lenders who are essentially the Debtors’ customers—should be sealed on two grounds: 1) as confidential

commercial information under Section 107(b) of the Bankruptcy Code; and 2) based on an undue risk of harm to these lenders under Section 107(c). The Motions are opposed by the Office of the United States Trustee (the “UST”), which argues that the Movants have failed to make the necessary showing under either prong of Section 107 to overcome the general policy of public access to court records. For the reasons set forth below, the Motions are granted in all respects except as to business entities whose information is sought to be redacted under Section 107(c). BACKGROUND A. The Debtors The Debtors and their subsidiaries and affiliates (collectively, the “Company”) are in the

business of providing digital asset services, including the trading of digital assets and the borrowing and lending of digital assets and fiat currency to and from institutional customers (the “Institutional Lenders”) and high net worth individual customers (the “Individual Lenders,” and together with the Institutional Lenders, the “Lenders”). See Declaration of A. Derar Islim in

 The Official Committee of Unsecured Creditors’ Motion for Entry of an Order Requiring the Redaction of Certain Personally Identifiable Information [ECF No. 137] (the “Committee Motion,” and together with the Creditor Matrix Motion and the Sealing Motion, the “Motions”). A joinder was also filed to the Motions:  Ad Hoc Group of Genesis Lenders’ Joinder to Debtors’ Motion for Enty of Interim and Final Orders Waiving the Requirements that Each Debtor File a List of Creditors and Authorizing Preparation of a Consolidated List of Creditors, in Lieu of Submitting a Formatted Mailing Matrix, (II) Authorizing the Debtors to File a Consolidated List of the Debtors’ Fifty (50) Largest Unsecured Creditors, (III) Authorizing the Debtors to Redact Certain Personally Identifiable Information, and (IV) Granting Related Relief [ECF No. 115] (the “Joinder”). Support of First Day Motions and Applications in Compliance with Local Rule 1007-2 ¶¶ 6, 9 [ECF No. 17] (the “Islim First Day Declaration”).3 The Debtors’ lending and borrowing services permitted customers to loan digital assets to the Company and provide institutional funds and individuals with access to liquidity. See id. ¶ 17. Customers could enter into individualized loan terms and structures, with loans made

through a number of digital assets, including Stablecoins, Bitcoin and Ethereum. See id. ¶ 18. Through September 30, 2022, Genesis Global Capital, LLC and Genesis Asia Pacific PTE Ltd. had originated loans of approximately $93.1 billion and had active outstanding loans of approximately $1.7 billion. See id. ¶ 19. But over the latter half of 2022, the digital assets industry began to experience significant disruption, including the collapse of certain key industry players and the subsequent bankruptcy filing of several others. See id. ¶¶ 28, 29. This led to a general decline of investor confidence in digital asset markets that, in turn, had a severe impact on the Debtors’ business operations. See id. ¶ 30. The Debtors began to experience unprecedented withdrawals, which led Genesis Global Capital, LLC and Genesis Asia Pacific

PTE Ltd. to pause all lending and borrowing as of November 16, 2022. See id. ¶¶ 30, 36-39. The Debtors filed these Chapter 11 cases on January 19, 2023, seeking to restructure their balance sheets and evaluate options to preserve the value of the business. See id. ¶ 4. These efforts include a competitive marketing and sale process to monetize Genesis Global Holdco, LLC (“Holdco”), Holdco’s subsidiaries, and non-Debtor Genesis Global Trading, Inc., along

3 Two of the Debtors—Genesis Global Holdco, LLC and Genesis Global Capital, LLC—are organized under the laws of Delaware. See Islim First Day Decl. ¶¶ 1, 9. The third Debtor—Genesis Asia Pacific PTE Ltd.— is a Singapore-based entity. See id. ¶ 10. Additionally, a number of non-Debtor subsidiaries of the Debtors are organized and/or located overseas. See id. ¶ 11. As a result, the Debtors are subject to foreign data privacy laws of several jurisdictions, including the United Kingdom Data Protection Act of 2018 and the United Kingdom General Data Protection Regulation (together, the “UK GDPR”), the European General Data Protection Regulation (the “EU GDPR”) and the Singaporean Personal Data Protection Act 2012 (the “Singapore PDPA”). See Sealing Motion ¶ 23.

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