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Case 1:20-bk-12043 Doc 462 Filed 10/08/20 Entered 10/08/20 18:20:10 Desc Main <br /> Document Page 2 of 2 <br /> 00, (c) the Debtors' excess liability policies (Policy No. XCQM0098243A005, ACE Property & <br /> Casualty Insurance Co., Policy No. 80877760, Lexington Insurance Company, Policy No. <br /> 1000031017201, Starr Indemnity & Liability Company, and Policy No. 2800604, Ironshore <br /> Specialty Insurance), and (d) tail coverage under the Debtors' insurance policy with XL Insurance <br /> Company, Policy No. ELU167890-20; and (iii) for the avoidance of doubt, the Assigned <br /> Agreements identified on Exhibit A. <br /> PLEASE TAKE FURTHER NOTICE that, pursuant to Paragraph 15 of the Rejection <br /> Motion and in the exercise of the Debtors' business judgment, the Debtors have determined that <br /> the term Rejected Agreements shall also expressly exclude: (i) that certain Administrative <br /> Services Agreement by and between Rhino Energy LLC and Anthem Health Plans of Kentucky, <br /> Inc. d/b/a Anthem Blue Cross and Blue Shield, effective as of June 1, 2020; and (ii) that certain <br /> Confidential Settlement Agreement dated on or about June 27, 2019 by and between Columbia <br /> Gas Transmission, LLC and CAM-Kentucky Real Estate LLC. <br /> Dated: October 8, 2020 Respectfully submitted, <br /> /s/Douglas L. Lutz <br /> Douglas L. Lutz <br /> A.J. Webb <br /> Erin P. Severini <br /> FROST BROWN TODD LLC <br /> 3300 Great American Tower <br /> 301 East Fourth Street <br /> Cincinnati, Ohio 45202 <br /> Tel: (513) 651-6800 <br /> Fax: (513) 651-6981 <br /> E-mail: dlutz@fbtlaw.com <br /> awebb@fbtlaw.com <br /> eseverini@fbtlaw.com <br /> ATTORNEYS FOR DEBTORS AND <br /> DEBTORS-IN-POSSESSION <br /> 0110354.0731024 4852-1427-8094v1 <br /> 2 <br />