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2020-07-28_GENERAL DOCUMENTS - C1980004
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2020-07-28_GENERAL DOCUMENTS - C1980004
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Entry Properties
Last modified
1/8/2025 6:27:13 AM
Creation date
7/29/2020 9:16:27 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
C1980004
IBM Index Class Name
General Documents
Doc Date
7/28/2020
Doc Name Note
Case No. 20-12043 (GRH) Hopedale Mining LLC
Doc Name
Bankruptcy Notice
From
E11 USCpiq Corporate Restructuring, LLC
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 109 Filed 07/27/20 Entered 07/27/20 15:11:53 Desc Main <br /> Document Page 5 of 8 <br /> conducting an auction and obtaining necessary court approvals in connection <br /> with such transactions; <br /> g. appearing before this Court, appellate courts, and any other courts to protect the <br /> interests of the Debtors and their estates; and <br /> h. performing any and all other necessary legal services in connection with these <br /> Chapter 11 Cases. <br /> 11. It is necessary and essential that the Debtors employ FBT as their bankruptcy <br /> counsel to render the foregoing professional services FBT has indicated a willingness to act on <br /> behalf of, and render such services to, the Debtors. <br /> FBT'S DISINTERESTEDNESS <br /> 12. To the best of the Debtors' knowledge, and except as may otherwise set forth in the <br /> Declaration of Douglas L. Lutz in support of Debtors'Application to Retain and Employ Frost <br /> Brown Todd LLC as Bankruptcy Counsel for the Debtors Nunc Pro Tunc to the Petition Date(the <br /> "Lutz Declaration"), a copy of which is attached hereto as Exhibit A, FBT, other than disclosed <br /> herein: (a) does not have any connection with, or any interest adverse to, the Debtors, their <br /> affiliates, their creditors or any other party in interest, or their attorneys and accountants, the <br /> Cincinnati office of the United States Trustee for Region 9 or any other person employed in the <br /> office of the same, or any judge in the Bankruptcy Court for the Southern District of Ohio or any <br /> person employed in the offices of the same; (b) is a"disinterested person" as that term is defined <br /> in section 101(14) of the Bankruptcy Code; and(c) does not hold or represent any interest adverse <br /> to the Debtors' estates. <br /> 13. To the best of the Debtors' knowledge and except as set forth in the Lutz <br /> Declaration: <br /> a. neither FBT nor any attorneys at FBT represents an adverse interest to any <br /> Debtors' estate; <br /> b. neither FBT nor any attorney at FBT is a creditor or an insider of any Debtor; <br /> 5 <br />
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