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2016-04-14_GENERAL DOCUMENTS - C1982056 (2)
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2016-04-14_GENERAL DOCUMENTS - C1982056 (2)
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Last modified
8/24/2016 6:20:44 PM
Creation date
4/18/2016 10:36:46 AM
Metadata
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Template:
DRMS Permit Index
Permit No
C1982056
IBM Index Class Name
General Documents
Doc Date
4/14/2016
Doc Name
Motion of the Debtors and Debtors in Possession
From
United State Bankruptcy Court
To
DRMS
Permit Index Doc Type
General Correspondence
Email Name
MPB
JRS
JLE
Media Type
D
Archive
No
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Case 16-42529 Doc 23 Filed 04/13/16 Entered 04/13/16 11:20:44 Main Document <br />Pg 3 of 32 <br />approximately 500,000 acres of surface property through ownership and lease agreements. In <br />the United States alone, as of December 31, 2015, the Debtors held an estimated 5.5 billion tons <br />of proven and probable coal reserves, and the Debtors generated sales of approximately 180 <br />million tons of coal. In addition to its mining operations, the Debtors market and broker coal <br />from other coal producers across the United States, Australia, Europe and Asia. <br />The Debtors operate in a competitive and highly regulated industry that <br />has experienced strong headwinds and precipitously declining demand and pricing in recent <br />years due to the rise of low priced alternative energy sources — including an abundance of natural <br />gas. Combined with these factors, slowing global economic growth drove a wide range of goods <br />prices lower in 2015 and resulted in the largest broad market decline since 1991. Indeed, <br />demand from electric utilities in the United States alone declined approximately 110 million tons <br />in 2015. These market conditions, in connection with lower realized pricing in the United States <br />and Australia, resulted in a 21.0 million ton decline in the Debtors' and their non -debtor <br />subsidiaries' coal sales during 2015. As a result of these challenges, several large United States <br />coal companies have filed for chapter 11 protection in recent years. <br />6. A comprehensive description of the Debtors' businesses and operations, <br />capital structure and the events leading to the commencement of these chapter 11 cases can be <br />found in the Declaration of Amy Schwetz, Executive Vice President and Chief Financial Officer <br />of Debtor PEC, in Support of First Day Motions of Debtors and Debtors in Possession (the "First <br />DU Declaration"), which was filed contemporaneously herewith and is incorporated herein by <br />reference. <br />-3- <br />
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