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2020-07-24_GENERAL DOCUMENTS - C1980004
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2020-07-24_GENERAL DOCUMENTS - C1980004
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Last modified
1/8/2025 6:21:48 AM
Creation date
7/27/2020 10:36:57 AM
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Template:
DRMS Permit Index
Permit No
C1980004
IBM Index Class Name
General Documents
Doc Date
7/24/2020
Doc Name Note
Case No. 20-12043 (GRH) Hopedale Mining LLC
Doc Name
Notice of Agenda For Expedited Virtual Hearing on the First Day Motions Scheduled for July 24, 2020
To
DRMS
Permit Index Doc Type
General Correspondence
Email Name
JRS
JDM
GRM
CMM
CCW
Media Type
D
Archive
No
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Case 1:20-bk-12043 Doc 3 Filed 07/22/20 Entered 07/22/20 17:38:25 Desc Main <br /> Document Page 40 of 42 <br /> parties in interest. Accordingly, the Debtors believe that the First Day Motions involve matters <br /> that require an expedited, emergency hearing and shortened notice periods. <br /> 95. I attest that the Debtors have given notice of the filing of the First Day Motions <br /> and the expedited hearing thereon to: (i) the Office of the United States Trustee for the Southern <br /> District of Ohio; (ii) the Debtors' 40 largest unsecured creditors on a consolidated basis; (iii) CB <br /> Agent Services LLC; (iv) counsel to CB Agent Services LLC, Stroock & Stroock& Lavan LLP, <br /> 180 Maiden Lane, New York, New York 10038 (Attn: Ms. Samantha Martin, Esq. and Mr. <br /> Frank Merola, Esq.); (v) all parties asserting a security interest in the assets of the Debtors to the <br /> extent reasonably known to the Debtors; (vi) all parties to equipment leases with the Debtors to <br /> the extent reasonably known to the Debtors; (vii) all parties, including state and federal agencies, <br /> asserting a surety bond interest in the assets of the Debtors to the extent reasonably known to the <br /> Debtors; (viii) all parties asserting a taxing interest in the assets of the Debtors to the extent <br /> reasonably known to the Debtors; (ix) counsel to any party in pending litigation with the <br /> Debtors; and (x) those entities specifically affected by a specific motion. Because of the <br /> exigencies of the circumstances and the irreparable harm to the Debtors that will ensue if the <br /> relief requested herein is not granted, the Debtors submit that no other notice need be <br /> given. Because of the exigencies of the circumstances and the irreparable harm to the Debtors <br /> that will ensue if the relief requested herein is not granted, the Debtors submit that no other <br /> notice need be given. <br /> 96. The Debtors have requested that service of notice on the parties stated above in <br /> the form and manner described herein be deemed adequate and appropriate under the <br /> circumstances and in full compliance with applicable provisions of the Bankruptcy Code, the <br /> Federal Rules of Bankruptcy Procedure and the Local Bankruptcy Rules of this Court. <br /> 40 <br />
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