Laserfiche WebLink
Steven J. McCardell attached hereto as Exhibit 4. Debtors° <br />knowledge, information and belief regarding the matters set: forth <br />herein are based, and made in reliance, upon said affidavit. <br />Debtors do not believe that any of LeBoeuf's connections with <br />such parties will interfere in any way with its representation of <br />Debtors in these cases. <br />21. Debtors have considered whether separate counsel <br />should be employed to represent Debtors and have concluded that <br />their joint employment of I,eBoeuf would be in the best interests <br />of Debtors, their respective estates and creditors. Debtors have <br />concluded that hiring separate counsel at this time would not <br />provide any benefit to Debtors, their estates, or creditors, that <br />such separate representation would result in significantly <br />increased delays and legal expenses, and that coordinating the <br />efforts of separete counsel, particularly under the time <br />pressures of these Chapter 11 cases, would be impractieat~le. <br />22. Debtors contemplate that LeBoeuf will render <br />general legal services to Debtors as needed throughout the: course <br />of these chapter 11 eases. Some of the services which the: <br />Debtors may require from LeBoeuf include the following: <br />(a) Advising Debtors of their rights, powers and <br />duties as debtors and debtors in possession <br />continuing to operate and manage their businesses <br />and properties; <br />(b) Advising Debtors with respect to pension and labor <br />related issues including negotiations with the <br />Pension $enelit Guaranty corporation and with <br />unions as to collective bargaining agreements; <br />(c) Advieinq Debtors concerning, and assisting in the <br />negotiation and documentation of, financing <br />10 <br />