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RioCan-HBC Limited Partnership - Reports

The following reports have been filed in the proceedings:

 Supplement to the Fifth Report Nov 21, 2025
The Receiver has filed this Supplement to the Fifth Report of the Receiver in response to the Corrado Affidavit in regard to the Fairweather Transaction.
 
 Fifth Report of the Receiver October 11, 2025
The purpose of this Fifth Report of the Receiver (the "Fifth Report") is to provide the Court with information and the Receiver's comments and recommendations regarding the Receiver's motion for an Order approving a proposed sublease of the Yorkdale Property (the "Fairweather Transaction") to Fairweather Ltd. ("Fairweather"), and certain related relief.
 
 Fourth Report of the Receiver September 24, 2025
The purpose of this Fourth Report of the Receiver (the "Fourth Report") is to provide the Court with (i) information, and (ii) the Receiver's comments and recommendations, regarding the Receiver's motion for an order (the "Lease Surrender Approval Order") seeking:
(a) approval of a lease surrender transaction (the "Lease Surrender Transaction") relating to the Leasehold Interests at CF Carrefour Laval in Laval, Quebec, ("Laval") and CF Promenades St. Bruno, in Saint-Bruno-de- Montarville, Quebec ("St. Bruno" and, with Laval, the "Lease Assets"); and
(b) sealing of certain confidential information on a limited basis with respect to the Lease Surrender Transaction.
 
 Third Report of the Receiver September 15, 2025
The purpose of this Third Report is to provide information to the Court on the following:
a. the Receiver's comments and recommendations, regarding the Receiver's motion returnable September 22, 2025 for an order (the "Sale Approval Order");
b. approval of a binding term sheet (the "Oakville Term Sheet", and collectively with the Georgian Term Sheet, the "Term Sheets") between the Receiver and RioCan Acquisitions Inc.;
c. approval if a binding term sheet (the "Georgian Term Sheet") between the Receiver and RioCan Acquisitions Inc.;
d. approval of steps to identify any alternative superior transactions for the Co-Ownership Interests;
e. approval of certain Termination Consideration (as defined in the Term Sheets), which may be payable to RioCan, and a court-ordered charge to secure the obligation to pay such Termination Consideration;
f. certain ancillary relief regarding the engagement of RBC Capital Markets Realty Inc. ("RBC CM") as advisor to the Receiver in connection with the Alternative Transaction Solicitation Process;and
g. sealing of certain confidential information on a limited basis.
 
 Second Report of the Receiver August 18, 2025
The purpose of this Second Report is to provide information to the Court on the following:
a. A comprehensive update on the Receiver's activities since the date of appointment;
b. An overview of all receivership properties and allocation of cash balances;
c. A consolidated schedule of receipts and disbursements of the Receiver to date;
d. Status updates of all real owned, co-owned and leased real properties; and
e. A summary of the ongoing services agreement with RioCan Management Inc. ("RMI Agreement").
 
 First Report of the Receiver July 24, 2025
The purpose of this First Report is to provide information to the Court on the following:
a. The Receiver's intention to provide a comprehensive update at the time of the scheduled case conference on August 19, 2025; and
b. A summary of information with respect to the Receiver's motion for relief for employee-related liabilities.
 

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