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2020-07-28_GENERAL DOCUMENTS - C1980004
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2020-07-28_GENERAL DOCUMENTS - C1980004
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Last modified
1/8/2025 6:27:13 AM
Creation date
7/29/2020 9:16:27 AM
Metadata
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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 109-1 Filed 07/27/20 Entered 07/27/20 15:11:53 Desc <br /> Exhibit A - Declaration of Douglas L. Lutz Page 7 of 16 <br /> Match List consist of representations in matters not related in any way to the Debtors or these <br /> Chapter 11 Cases. <br /> 13. All of the current and/or former clients of FBT who are included in the Client Match <br /> List, and for whom work was done in the calendar years 2019 or 2020, constituted less than one <br /> percent of FBT's revenues for such period. <br /> 14. Notwithstanding the foregoing, during the pendency of these Chapter 11 Cases, <br /> FBT cannot represent an entity adverse to the Debtors and cannot represent the Debtors against <br /> another client in these Chapter 11 Cases unless that client waives such conflict. FBT understands <br /> that the Debtors intend to seek retention of the law firm of Whiteford Taylor Preston, LLP as <br /> special counsel and conflicts counsel to handle those matters where FBT may have a conflict. <br /> 15. To the best of my knowledge, except as set forth in this declaration, neither FBT <br /> nor any attorney at FBT is or was, within two years before the Petition Date, a director, officer or <br /> employee of the Debtors, and/or a creditor,2 an equity security holder, or an insider of the Debtors. <br /> 16. To the best of my knowledge, FBT does not have an interest materially adverse to <br /> the interests of the estate or of any class of creditors or equity security holders, by reason of any <br /> direct or indirect relationship to, connection with or interest in the Debtors, except as disclosed <br /> herein, or for any other reason. <br /> 17. To the best of my knowledge, except as set forth below, FBT has no connections <br /> with the bankruptcy judges in the Southern District of Ohio. In addition, and to the best of my <br /> knowledge, FBT has no connections with the Cincinnati office of the United States Trustee for <br /> this Region. Finally, and to the best of my knowledge, FBT has no disqualifying connection with <br /> '-As of the Petition Date, the Debtors were indebted to FBT in the amount of approximately $60,625.74 on account <br /> of matters unrelated to preparation for the Debtors' Chapter 11 Cases. On the Petition Date, FBT agreed to waive <br /> these fees and FBT is not a creditor of the Debtor with respect to pre-Petition Date legal fees or expenses. <br /> 6 <br />
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