2276 - Edison Mission Restructuring
Transcription
2276 - Edison Mission Restructuring
Case 12-49219 Doc 2276 Filed 04/14/14 Entered 04/14/14 16:16:42 Document Page 1 of 7 Desc Main UNITED STATES BANKRUPTCY COURT NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION In re: EDISON MISSION ENERGY, et al.,1 Debtors. ) ) Chapter 11 ) ) Case No. 12-49219 (JPC) ) ) (Jointly Administered) ) AGENDA FOR HEARING TO BE HELD APRIL 16, 2014, AT 10:30 A.M. (CENTRAL TIME) Time and Date of Hearing: April 16, 2014, at 10:30 a.m. (Central Time) Location of Hearing: The Honorable Jacqueline P. Cox Courtroom 680 United States Bankruptcy Court for the Northern District of Illinois 219 South Dearborn Street Chicago, Illinois 60604 Copies of Motions: A copy of each pleading can be viewed on the Court’s website at www.ilnb.uscourts.gov and at the website of the Debtor’s notice and claims agent, GCG, Inc. (“GCG”), at www.edisonmissionrestructuring.com. Further information may be obtained by calling GCG at (866) 241-6491. 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification number, include: Edison Mission Energy (1807); Camino Energy Company (2601); Chestnut Ridge Energy Company (6590); Edison Mission Energy Fuel Services, LLC (4630); Edison Mission Finance Co. (9202); Edison Mission Fuel Resources, Inc. (3014); Edison Mission Fuel Transportation, Inc. (3012); Edison Mission Holdings Co. (6940); Edison Mission Midwest Holdings Co. (6553); EME Homer City Generation L.P. (6938); Homer City Property Holdings, Inc. (1685); Midwest Finance Corp. (9350); Midwest Generation EME, LLC (1760); Midwest Generation, LLC (8558); Midwest Generation Procurement Services, LLC (2634); Midwest Peaker Holdings, Inc. (5282); Mission Energy Westside, Inc. (0657); San Joaquin Energy Company (1346); Southern Sierra Energy Company (6754); and Western Sierra Energy Company (1447). The location of the EME Reorganization Trust’s headquarters and service address is: 3 MacArthur Place, Suite 100, Santa Ana, California 92707. KE 30953951 Case 12-49219 I. Doc 2276 Filed 04/14/14 Entered 04/14/14 16:16:42 Document Page 2 of 7 Desc Main Uncontested Matters 1. Millers’ Motion for Relief from Automatic Stay. Motion for Relief from the Automatic Stay [Docket No. 2006] Responses Received: None. Related Documents: A. Agreed Order Continuing [Docket No. 2090] Hearing and Extending Stay B. Agreed Order Continuing [Docket No. 2171] Hearing and Extending Stay C. Notice of Withdrawal of Motion for Relief from Automatic Stay [Docket No. 2268] Status: This matter has been withdrawn. 2. Debtors’ Twenty-Second Omnibus Objection to Claims. Debtors’ TwentySecond Omnibus Objection to Certain Proofs of Claim (Amended and Superseded Claims, No-Liability Claims, Wrong-Debtor Claims, Claim to Be Adjusted, and Late-Filed Claims) [Docket No. 2219] Responses Received: A. Informal response received from California Power Exchange on March 26, 2014 B. Informal response received from New York State Electric and Gas Corp. on April 4, 2014 C. Informal response received from Doğa Enerji Sanayi ve Ticaret Ltd. Şti on April 7, 2014 Related Documents: A. Declaration of Aaron Moss in Support of Debtors’ Twenty-Second Omnibus Objection to Certain Proofs of Claim (Amended and Superseded Claims, No-Liability Claims, Wrong Debtor Claims, Claim to Be Adjusted, and Late-Filed Claims) [Docket No. 2220] 2 KE 30953951 Case 12-49219 Doc 2276 Filed 04/14/14 Entered 04/14/14 16:16:42 Document Page 3 of 7 Desc Main Status: This matter is going forward for the purpose of presenting a proposed order with respect to all claims other than the proofs of claim filed by California Power Exchange (“CalPX”) [Claim No. 1078] and New York State Electric and Gas Corp. (“NYSEG”) [Claims Nos. 1315, 1316, and 1317]. This matter is being continued as to the CalPX and NYSEG claims to the omnibus hearing scheduled for May 21, 2014, in accordance with the claims objection procedures approved in these chapter 11 cases. II. Contested Matter 3. RTA’s Motion for Leave. RTA’s Motion for Leave to File an Untimely Proof of Claim Pursuant to Bankruptcy Rule 9006(b)(1) [Docket No. 2247] Responses Received: A. EME Reorganization Trust’s Objection to RTA’s Motion for Leave to File an Untimely Proof of Claim Pursuant to Bankruptcy Rule 9006(b)(1) [Docket No. 2265] Related Documents: A. Declaration of Adam J. Gorman in Support of EME Reorganization Trust’s Objection to RTA’s Motion for Leave to File an Untimely Proof of Claim Pursuant to Bankruptcy Rule 9006(b)(1) [Docket No. 2266] Status: This matter is going forward. III. Status Conference Regarding Debtors’ Motion to Terminate Retiree Benefits 4. Debtors’ Motion to Terminate Retiree Benefits. Debtors’ Motion for Entry of an Order (A) Authorizing Termination of Retiree Benefits and (B) Granting Related Relief [Docket No. 1776] Responses Received: A. Informal response received from Michael Bales on January 14, 2014 B. Informal response received from Melody Johnson on January 14, 2014 C. Informal response received from Byna Sipos on January 16, 2014 D. Informal response received from Suzanne Wood on January 17, 2014 3 KE 30953951 Case 12-49219 Doc 2276 Filed 04/14/14 Entered 04/14/14 16:16:42 Document Page 4 of 7 Desc Main E. Informal response received from Nancy Lewis on January 19, 2014 F. Informal response received from David Rademaker on January 20, 2014 G. Objection to Debtors’ Motion for Entry of an Order (A) Authorizing Termination of Retiree Benefits and (B) Granting Related Relief [Docket No. 1866] H. Debtors’ Consolidated (I) Reply in Support of Motion to Terminate Retiree Benefits and (II) Objection to Motion to Appoint Official Retiree Committee Pursuant to 11 U.S.C. § 1114(d) [Docket Nos. 1962, 1966] I. Brief in Further Support of Debtors’ Motion to Terminate Retiree Benefits [Docket No. 2144] J. Appendix A of Exhibits in Support of Brief in Further Support of Debtors’ Motion to Terminate Retiree Benefits [Docket No. 2145] K. Appendix B of Exhibits in Support of Brief in Further Support of Debtors’ Motion to Terminate Retiree Benefits [Docket No. 2146] L. Exhibit 21 and Exhibit 22 Relating to Brief in Further Support of Debtors’ Motion to Terminate Retiree Benefits [Docket No. 2147] M. The Affected Retirees’ Objection to Debtors’ Motion to Terminate Retiree Benefits [Docket No. 2217] N. Reply Brief in Further Support of Debtors’ Motion to Terminate Retiree Benefits [Docket No. 2229] Related Documents: A. Notice of Extension of Deadline to Object to Debtors’ Motion for Entry of an Order (A) Authorizing Termination of Retiree Benefits and (B) Granting Related Relief [Docket No. 1804] B. Statement of Ad Hoc Committee of Senior Noteholders of Edison Mission Energy in Support of Debtors’ Motion for Entry of an Order (A) Authorizing Termination of Retiree Benefits and (B) Granting Related Relief [Docket No. 1814] C. Statement of the Official Committee of Unsecured Creditors of Edison Mission Energy, et al. in Support of Debtors’ Consolidated (I) Reply in Support of Motion to Terminate Retiree Benefits and (II) Objection to Motion to Appoint Official Retiree Committee [Docket Nos. 1964, 1982] 4 KE 30953951 Case 12-49219 Doc 2276 Filed 04/14/14 Entered 04/14/14 16:16:42 Document Page 5 of 7 Desc Main D. Statement of Ad Hoc Committee of Senior Noteholders of Edison Mission Energy in Support of Debtors’ Consolidated (I) Reply in Support of Motion to Terminate Retiree Benefits and (II) Objection to Motion to Appoint Official Retiree Committee Pursuant to 11 U.S.C. § 1114(d) [Docket No. 1965] E. Stipulation and Agreed Order (I) Establishing Schedule Regarding Debtors’ Motion for Entry of an Order (A) Authorizing Termination of Retiree Benefits and (B) Granting Related Relief (II) Resolving Motion to Appoint Official Retiree Committee Pursuant to 11 U.S.C. § 1114(d) and Retirees’ Objection to Debtors' Second Amended Joint Chapter 11 Plan of Reorganization [Docket No. 2034] F. Notice of Continuance of Hearing Regarding Debtors’ Motion for Entry of an Order (A) Authorizing Termination of Retiree Benefits and (B) Granting Related Relief [Docket No. 1776] [Docket No. 2232] Status: A status conference is going forward regarding this matter. IV. Continued Matters 5. Debtors’ Nineteenth Omnibus Objection to Claims. Debtors’ Nineteenth Omnibus Objection to Certain Proofs of Claim (Cross-Case Duplicate Claims, Wrong Debtor Claim, Late-Filed Claim, Amended and Superseded Claims, and No Liability Claims) [Docket No. 1848] Responses Received: A. Commonwealth Edison Company’s Response to Debtors’ Nineteenth Omnibus Objection to Certain Proofs of Claim [Docket No. 2066] Related Documents: A. Declaration of Aaron Moss in Support of Debtors’ Nineteenth Omnibus Objection to Certain Proofs of Claim (Cross-Case Duplicate Claims, Wrong Debtor Claim, Late-Filed Claim, Amended and Superseded Clams, and No Liability Claims) [Docket No. 1849] B. Order Granting Debtors’ Nineteenth Omnibus Objection to Certain Proofs of Claim (Cross-Case Duplicate Claims, Wrong Debtor Claim, Late-Filed Claim, Amended and Superseded Claims, and No Liability Claims) [Docket No. 2078] Status: On February 19, 2014, the Court entered an order granting the Debtors’ Nineteenth Omnibus Objection to Claims as to all claims except 5 KE 30953951 Case 12-49219 Doc 2276 Filed 04/14/14 Entered 04/14/14 16:16:42 Document Page 6 of 7 Desc Main those filed by Commonwealth Edison Company (“ComEd”) [Claim Nos. 1720, 1721, and 1293-1303]. This matter is continued to the omnibus hearing scheduled for May 21, 2014, with respect to ComEd’s claims in accordance with the claims objection procedures approved in these chapter 11 cases. 6. Debtors’ Twentieth Omnibus Objection to Claims. Debtors’ Twentieth Omnibus Objection to Certain Proofs of Claim (Claims 107, 109, 110, and 123 Filed by the Illinois Department of Revenue [Docket No. 1860] Responses Received: A. Response of Illinois Department of Revenue to Debtors’ Twentieth Omnibus Objection (Claim Nos. 107, 109, 110 and 123) [Docket No. 2012] Related Documents: A. Notice of Withdrawal of Claim 107 [Docket No. 1955] B. Notice of Withdrawal of Claim 123 [Docket No. 2149] Status: The Illinois Department of Revenue withdrew Claim No. 107 on January 30, 2014 [Docket No. 1955] and withdrew Claim No. 123 on March 3, 2014 [Docket No. 2149]. This matter is continued as to Claim Nos. 109 and 110 to the omnibus hearing scheduled for May 21, 2014, in accordance with the claims objections procedures approved in these chapter 11 cases. 6 KE 30953951 Case 12-49219 Doc 2276 Dated: April 14, 2014 Filed 04/14/14 Entered 04/14/14 16:16:42 Document Page 7 of 7 /s/ David R. Seligman, P.C. James H.M. Sprayregen, P.C. David R. Seligman, P.C. Sarah Hiltz Seewer KIRKLAND & ELLIS LLP 300 North LaSalle Chicago, Illinois 60654 Telephone: (312) 862-2000 Facsimile: (312) 862-2200 - and Joshua A. Sussberg KIRKLAND & ELLIS LLP 601 Lexington Avenue New York, New York 10022-4611 Telephone: (212) 446-4800 Facsimile: (212) 446-4900 Counsel to EME Reorganization Trust 7 KE 30953951 Desc Main