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9. ~aneral Electric. General Electric has been a customer <br />of and vendor to CF&I Steel Corporation and may be a creditor of <br />CFSI Steel Corporation. LeBoeuf has represented General Electric <br />in corporate and litigation matters unrelated to CFiI Steel <br />Corporation or its subsidiaries.' <br />30. Georgia Pacific Corporation. Georgia Pacific <br />Corporation has been a customer of and vendor to CF6I Steel <br />Corporation and may bey a debtor of CF&I Steel Corporation. <br />LeBoeuf has represented Georgia Pacific Corporation in a matter <br />unrelated to CF6I Steel Corporation or its subsidiaries. <br />11. Horsehead Resource Development. Horsehead Resource <br />Development operates a waste disposal facility to which CFii <br />Steel Corporation sends its electric arc furnace dust. Horsehead <br />is n creditor of CFiI Steel Corporation. k8oeuf has represented <br />Horsehead Resource Development in general corporate and <br />securities matters unrelated to CF&I Steel Corporation or its <br />subsidiaries. <br />12. I@~. IBM has been a vendor to CFSI Steel Corporation <br />end may be a creditor. LeBoeuf has advised IBM in an insurance <br />matter unrelated to CF&I Steel Corporation or its subsidiaries. <br />,gtates Casualty Companvl. On February 3, 1989, CF6I Steel <br />Corporation filed a declaratory judgment action in Mercer County <br />Superior Court, New Jersey, against Aetna Casualty and Surrty <br />Company, American Home Assurance Company, Continental Insurance <br />Company, Fireman's Fund Insurance Company, Hartford Accident and <br />Indemnity Company, Insurance Company of North America, Security <br />Insurance Company of Hartford, and i7nited States Casualty <br />Company. This action seeks a declaration under New Jersey state <br />law of the rights, liabilities and duties of CFLI Steel <br />Corporation and the defendants to CF6Z Steel Corporation with <br />regard to the defendants' duty to defend and indemnify CF6I Steel <br />Corporation for monies expended and to ba expended in the future <br />arising out of the environmental claims at properties previously <br />owned by CFbI Steel Corporation nt Roebling, New Jersey, and <br />Tonawanda, New York. The action also seeks compensatory damages <br />for breach o! the various insurance policies, an award of <br />attorney's fees, together with interest and costs of suit. Ali <br />defendants have Tiled answers disclaiming any duty to defend and <br />indemnify CFiI Steel Corporation under the various insurance <br />policies. CFiI Steel Corporation is represented in this <br />litigation by Covington i Burling. CFiI Steei Corporation <br />intends to seek the Court's authorization to employ Covington i <br />Burling and other counsel 'to continue to represent CFiI Steel <br />Corporation in this litigation. kBoeuf does not represent any <br />6 <br />