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11. State the basis, including references to paragraph and page of documents, for <br /> defendants' allegation,pleading, statement, belief, or contention in the Third-Party Complaint <br /> (no. 34) that MCR's liquidation plan mandates that a reclamation plan and schedule be <br /> negotiated among MCR, DMG, and the MLRB. <br /> 12. Identify any and all documents which were referred to or relied upon to support the <br /> allegation, pleading, statement, belief, or contention that MCR's liquidation plan mandates that a <br /> reclamation plan and schedule be negotiated among MCR, DMG, and the MLRB. <br /> 13. For each piece of real or personal property sold pursuant to MCR's liquidation plan, <br /> identify the property and the person(s) who decided when, to whom, and for how much said <br /> property would be sold. <br /> 14. Identify any and all documents which were referred to or relied upon to decide when <br /> and for how much a piece of real or personal property would be sold pursuant to MCR's <br /> liquidation plan including identification of appraisals and all competing offers and offerors. <br /> 15. Identify the person(s) who decided or who decide(s) on behalf of the Creditors' Trust <br /> when to pay and in what amount to pay property taxes on each piece of real or personal property <br /> sold pursuant to MCR's liquidation plan, specifically including sales of real or personal property <br /> subject to taxes by Pitkin County. If you identify more than one person, please specify the date <br /> on which each person made the decisions on behalf of the Trust and the transactions on which <br /> each person made the decisions, and the authority under which such person made the decisions. <br /> 11 <br />