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Case 1:20-bk-12043 Doc 109 Filed 07/27/20 Entered 07/27/20 15:11:53 Desc Main <br /> Document Page 3 of 8 <br /> 5. Additional information regarding the Debtors' businesses, capital structure, and the <br /> circumstances leading to the Chapter 11 Cases is contained in the Boone Declaration, which is <br /> incorporated herein by reference. <br /> RELIEF REQUESTED <br /> 6. By this Application, the Debtors request the entry of an order pursuant to sections <br /> 327, 328 and 1107(b) of the Bankruptcy Code, Bankruptcy Rules 2014 and 2016, and Local Rules <br /> 2014-1 and 2016-1 authorizing them to employ and retain FBT as bankruptcy counsel to perform <br /> the legal services that will be required and necessary during these Chapter 11 Cases, effective nunc <br /> pro tunc to the Petition Date. <br /> BASIS FOR RELIEF REQUESTED <br /> 7. The Debtors have selected FBT to represent them as bankruptcy counsel for the <br /> debtors and debtors-in-possession in these cases because FBT has considerable experience in <br /> insolvency and bankruptcy matters, including representation of debtors in complex Chapter 11 <br /> Cases. The Debtors have also selected FBT because they believe FBT is well qualified to represent <br /> the Debtors as debtors and debtors in possession. The Debtors submit that the retention of FBT <br /> under the terms described herein is appropriate under sections 327,328 and 1107 of the Bankruptcy <br /> Code. <br /> 8. In preparing for this case, FBT has become familiar with the Debtors' business <br /> affairs and many of the potential legal issues that may arise in connection with the Chapter 11 <br /> Cases. FBT has also acquired knowledge of the Debtors' businesses, financial affairs and capital <br /> structure. In selecting FBT as its general bankruptcy counsel, the Debtors considered FBT's <br /> intimate knowledge of the Debtors' operations and finances and their expertise and experience in <br /> reorganization and bankruptcy law. <br /> 3 <br />