A Delaware Limited Liability Partnership: PHTRANS/ 983572. 1

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Frank F.

Velocci (FV-2185) DRINKER BIDDLE & REATH LLP


A Delaware Limited Liability Partnership

140 Broadway New York, New York 10005 Tel: (212) 248-3140 Fax: (212) 248-3141 UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK ------------------------------------------------------------- x : In re: : : LEHR CONSTRUCTION CORP., : : Debtor. : : : ------------------------------------------------------------- x

Chapter 11 Case No. 11-10723 (SHL)

VERIFIED STATEMENT OF DRINKER BIDDLE & REATH LLP PURSUANT TO FEDERAL RULE OF BANKRUPTCY PROCEDURE 2019 Drinker Biddle & Reath LLP (DBR) submits this verified statement in accordance with Rule 2019 of the Federal Rules of Bankruptcy Procedure, and respectfully represents: 1. DBR currently represents the following parties in interest (collectively, the

Listed Parties) in the chapter 11 case of Lehr Construction Corp., (the Debtor): (a) F&G Mechanical Corporation, 348 New County Road, Secaucus, NJ 07094, a subcontractor of the Debtor and having entered into various work orders and other agreements with the Debtor and provided goods and services after the date that is one year prior to commencement of the Debtors bankruptcy case, holds pre- and post-petition claims in an aggregate amount of not less than $1,463,000.00; Meadowlands Fire Protection, 348 New County Road, Secaucus, NJ 07094, a subcontractor of the Debtor and having entered into various work orders and other agreements with the Debtor and having provided goods and services after the date that is one year prior to commencement of the

(b)

PHTRANS/ 983572. 1

Debtors bankruptcy case, holds pre- and post-petition claims in an aggregate amount of not less than $486,000.00; and (c) Forest Electric, 2 Penn Plaza, 4th Floor, New York, NY 10121, a subcontractor of the Debtor and having entered into various work orders and other agreements with the Debtor and having provided goods and services both before and after the date that is one year prior to commencement of the Debtors bankruptcy case, holds a pre-petition claim in an amount not less than $993,124.09.

2.

DBR has been asked by the Listed Parties to provide legal representation in the

above-captioned chapter 11 case. 3. DBR does not presently own, nor has it previously owned, any claims against, or

interests in, the Debtor. 4. The undersigned certifies that this verified statement is true and accurate, to the

best of his knowledge, information, and belief. DBR reserves the right to revise, supplement and/or amend this verified statement as may be appropriate or necessary. Dated: March 29, 2011 Respectfully submitted, DRINKER BIDDLE & REATH LLP
A Delaware Limited Liability Partnership

140 Broadway New York, New York 10005 Tel: (212) 248-3140 Fax: (212) 248-3141

By: /s/ Frank F. Velocci Frank F. Velocci

PHTRANS/ 983572. 1

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