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IN THE UNITED STATES BANKRUPTCY COURT

In re: )
RESOLVED MATTERS:

FOR THE DISTRICT OF DELA WARE

Chapter 11

)
)

PACIFIC ENERGY RESOURCES LTD., et al., 1 )

Debtors. )

Case No. 09-10785(KJC) (Jointly Administered)

NOTICE OF AGENDA FOR MATTERS SCHEDULED FOR HEARING ON APRIL 19, 2010 AT 3:00 P.M.

Any party participating telephonically must make arrangements through


CourtCall by telephone (866-582-6878) or facsimile (866-533-2946),

no later than 12:00 p.m., one (1) business day before the hearing.

1. Motion of Marathon Oil Company for Allowance and Payment of Administrative

Expense under 11 U.S.C. Section 503(b)(1)(A) (Filed November 5,2009; Docket No.
1101)

Related Documents:
(a) Notice of

Marathon Oil Company for Allowance and Motion of Withdrawal of Payment of Administrative Expense Under 11 U.S.c. 503(b)(1)(A) (Filed April
14,2010; Docket No. 1505)

Objection Deadline: NI A

ObjectionslResponses:
(a) Objection of

Marathon Oil Company for Allowance and Payment of Administrative Expense under 11 U.S.C. Section 503(b)(I)(A) (Filed
Debtors to Motion of

March 24,2010; Docket No. 1442)

Status: The movant has filed a notice of withdrawaL.

the Debtors' federal tax identification number, are: Pacific Energy Resources Ltd. (3442); Petrocal Acquisition Corp. (6249); Pacific Energy Alaska Holdings, LLC (tax J.D. # not available); Cameros Acquisition Corp. (5866); Pacific Energy Alaska Operating LLC (7021); Cameros Energy, Inc. (9487); and Gotland Oil, Inc.
i The Debtors in these cases, along with the last four digits of each of

(5463). ThemailingaddressforalloftheDebtorsislllW.OceanBoulevard.Suite 1240, Long Beach,

CA 90802.

68773-002\DOCS _DE: i 58850.2

CONTINUED MATTERS:
2. Debtors' Motion for Order Deeming Certain Claims to have been Satisfied (Filed March

5,2010; Docket No. 1384)

Related Documents:
(a) (signed) Order Granting Debtors' Motion for Order Deeming Certain Claims to

have been Satisfied (Entered March 24,2010; Docket No. 1434)

Objection Deadline: March 17,2010 at 4:00 p.m. (Extended to May 12,2010 for Noble
Energy)
ObjectionslResponses: None to date.
Status: This matter is being continued to May 19,2010 at 2:00 p.m.

3. Request for Payment of Administrative Expenses of

the State of Alaska (Filed March 15,

2010; Docket No. 1394)

Related Documents:
(a) Notice of

Hearing Scheduled by Cour (Filed March 16,2010; Docket No. 1397)

Objection Deadline: May 12,2010 at 4:00 p.m.


ObjectionslResponses: None to date.
Status: This matter is being continued to May 19,2010 at 2:00 p.m.
4. Proof of Administrative Claim of

ExxonMobil Alaska Production Inc. (Filed March 12,

2010; Docket No. 1389)

Objection Deadline: May 12,2010 at 4:00 p.m.


ObjectionslResponses:
Status: This matter is being continued to May 19,2010 at 2:00 p.m.

68773-002\DOCS_ DE: 158850.2

5. Administrative Claim Statement of

Medema Family Trust (Throughput) (Filed March 15,

2010; Docket No. 1393)

Objection Deadline: May 12,2010 at 4:00 p.m.


ObjectionslResponses:
Status: This matter is being continued to May 19,2010 at 2:00 p.m.

6. Cook Inlet Region, Inc.'s Administrative Claim Statement (Filed March 15, 2010; Docket
No. 1395)

Related Documents:
(a) Notice of

Hearing Scheduled by Cour (Filed March 16,2010; Docket No. 1398)

Objection Deadline: May 12,2010 at 4:00 p.m.


ObjectionslResponses:
Status: This matter is being continued to May 19,2010 at 2:00 p.m.
7. Request for Allowance and Payment of Administrative Expense Claim of Salamatof

Native Association, Inc. (Filed March 15, 2010; Docket No. 1396)
Related Documents:
(a) Notice of

Hearing Scheduled by Cour (Filed March 16,2010; Docket No. 1399)

Objection Deadline: May 12,2010 at 4:00 p.m.


ObjectionslResponses:
Status: This matter is being continued to May 19,2010 at 2:00 p.m.

UNCONTESTED MATTERS FOR WHICH CNOS HAVE BEEN FILED:


8. Debtors' Motion to Approve Settlement ofNAE Adversary and to Authorize Division

and Disbursement ofNAE Deposit (Filed March 26,2010; Docket No. 1453 and A-0952825, Docket No. 19)

Related Documents:
(a) Certification of No Objection Regarding Docket No. 1453 (Filed April

14, 2010;

Docket No. 1509 and A-09-52825, Docket No. 20)

68773-002\DOCS_DE: 158850.2

Objection Deadline: April 12,2010 at 4:00 p.m.


Objections/Responses: None to date.
Status: A certification of

no objection has been fied. The Debtors request entry ofthe

order attched to the Motion.

UNCONTESTED MATTERS:
9. Debtors' Third Motion for Order Pursuant to 11 US.C. Section 1121(d) Extending the

Time Periods during which the Debtors have the Exclusive Right to File a Plan and Solicit Acceptances Thereto (Filed March 2,2010; Docket No. 1371)
Objection Deadline: April

14, 2010 at 4:00 p.m.

Objections/Responses: None to date.


Status: This matter is going forward.

10. Debtors' Second Motion for Order Deeming Certain Claims to have been Satisfied (Filed
April 1,2010; Docket No. 1476)
Objection Deadline: April

14, 2010 at 4:00 p.m.

ObjectionslResponses: None to date.


Status: This matter is going forward.

11. Motion of

Official Committee of

Unsecured Creditors: (I) for Standing to Pursue Causes

of Action Belonging to Debtors' Estates Arising under Chapter 5 of

the Bankptcy

Code; and (II) for Approval of Procedures and Authority Governng Settlement of Chapter 5 Causes of Action (Filed April 5, 2010; Docket No. 1478)

Objection Deadline: April 14,2010 at 4:00 p.m.


ObjectionslResponses: None to date.
Status: This matter is going forward.

12. Motion of Version of

Offcial Committee of the Supplemental Application of

Unsecured Creditors to File under Seal the Unredacted Unsecured the Official Committee of

Creditors Pursuant to Fed. R. Ban. P. 2014(a) for Order under Sections 328(a) and

Employment and Retention of Pepper Hamilton LLP as Counsel to Include Prosecution of Avoidance Actions, nunc pro
1103(a) of the Banptcy Code Expanding the Scope of

tunc to Februar 1,2010 (Filed April 5, 2010; Docket No. 1479)

68773-002\DOCS_DE: 158850.2

Objection Deadline: April 14,2010 at 4:00 p.m.


Objections/Responses: None to date.
Status: This matter is going forward.

13. (Redacted) Supplemental Application of the Official Committee of Unsecured Creditors


Pursuant to Fed. R. Ban. P. 2014(a) for Order under Sections 328(a) and 1103(a) ofthe

Banptcy Code Expanding the Scope of Employment and Retention of Pepper Hamilton LLP as Counsel to Include Prosecution of Avoidance Actions, nunc pro tunc to
February 1,2010 (Filed April

5, 2010; Docket No. 1480)

Related Documents:
(a) Notice of

David B. Stratton in Support of the Supplemental Application (Filed April 7, 2010; Docket No. 1489)
Filng Executed (Redacted) Affdavit of

Objection Deadline: April 14,2010 at 4:00 p.m.


ObjectionslResponses: None to date.
Status: This matter is going forward.

ADMINISTRATIVE CLAIM MATTERS GOING FORWARD:


14. Motion of Cook Inlet Pipe Line Company to Compel Payment of Administrative

Expenses (Filed July 17, 2009; Docket No. 619)

Objection Deadline: July 28, 2009 at 4:00 p.m.

Reply Deadline for Cook Inlet Pipe Line Company: August 25,2009, at 4:00 p.m.
scheduled to go forward (April

(Extended to 5 business days before hearing where matter is 12, 2010))

o bj ections/Responses:

(a) Objection of

Cook Inlet Pipe Line Company to Compel Payment of Administrative Expenses (Filed July 28, 2009; Docket No. 676)
the Debtors to Motion of

68773-002\DOCS _DE: 158850.2

Reply:
(a) Reply of

Cook Inlet Pipe Line Company in Support ofIts Motion to Compel Payment of Administrative Expenses (Filed April 12,2010; Docket No. 1499)

Status: This matter is going

forward. The paries have conferred and intend to present

legal arguent, plus proffers to the extent necessar.

15. Union Oil Company of

California's Administrative Claim Statement for Operating Costs

Californa's Administrative Claim Statement for Abandonment and Environmental Remediation Costs (Filed March 5, 2010; Docket No. 1383)
(Filed March 5, 2010; Docket No. 1382) and Union Oil Company of

Objection Deadline: NI A

ObjectionslResponses:
(a) Objection of

Debtor Pacific Energy Alaska Operating LLC to the Administrative California for Abandonment and Union Oil Company of Environmental Remediation Costs (Docket No. 1383) and Operating Costs (Docket No. 1382) Pursuant to 11 U.S.C. 502(b) and Federal Rule of
Claim Statements of

Banptcy Procedure 3007 (Filed March 24,2010; Docket No. 1441)


Reply:
(a) Union Oil Company of

Californa's Response to Debtors' Objection to the Administrative Claim Statements of Union Oil Company of Californa for Abandonment and Environmental Remediation Costs (Docket No. 1383) and Operating Costs (Docket No. 1382) Pursuant to 11 US.C. 502(b) and Federal Rule of Banptcy Procedure 3007 (Filed April 14,2010; Docket No. 1506)

Status: This matter is going forward. The parties have conferred and intend to present

legal argument, plus proffers to the extent necessar.

CLAIM OBJECTIONS:
16. Debtors' First Omnbus Objection (Non-Substantive) to Shareholder Claims Based on the

Ownership of Stock (Filed Februar 22, 2010; Docket No. 1349)


Related Documents:
(a) (signed) Order Approving Debtors' First Omnbus Objection (Non-Substantive)

to Shareholder Claims Based on the Ownership of Stock (Entered March 24, 2010; Docket No. 1435)

68773-002\DOCS _DE: 158850.2

Objection Deadline: March 17,2010 at 4:00 p.m.


Objections/Responses:
(a) Letter Objection of

Hugh E. Smith (Filed March 15,2010; Docket No. 1392))

Status: This matter is going forward.

17. Debtors' Second Omnibus Objection (Non-Substantive) to Certain (A) Duplicate Claims;

(B) Claims that have been Amended and Superseded; (C) Claims that were fied against
the Wrong Debtor; and (D) Claims for which there is Insufficient Documentation (Filed

February 22, 2010; Docket No. 1350)


Related Documents:
( a) Notice of Submission of Proofs of Claim in Connection with Exhibit D to

Second (Non-Substantive) Omnibus Objection to Claims (Claims for Which There is Insufficient Documentation) (Filed March 3, 2010; Docket No. 1375)
(b) (signed) Order Approving Debtors' Second Omnibus Objection (Non-

Substantive) to Certain (A) Duplicate Claims; (B) Claims that have been Amended and Superseded; (C) Claims that were fied against the Wrong Debtor; and (D) Claims for which there is Insufficient Documentation (Entered
March 29,2010; Docket No. 1454)
Objection Deadline: March 17,2010 at 4:00 p.m. (Extended to April

15, 2010 for

Marathon Oil)
o bj ections/Responses:

(a) Response of

California State Controller's Offce (Filed March 15,2010; Docket

No. 1391)

(b)

Response of

Forest Oil Corporation and Forest Alaska Holding LLC (Filed March

17,2010; Docket No. 1405)

Status: This matter is going forward.

18. Debtors' Third Omnbus Objection (Substative) to Certain Claims (A) for which the Debtors have No Liability; and (B) which are Overstated and Should be Reduced (Filed
February 22,2010; Docket

No. 1351)

Related Documents:
(a) Notice of Submission of

Claims (Filed March 3,2010; Docket No. 1374)

68773-002\DOCS _DE: 158850.2

(b) (signed) Order Approving Debtors' Third Omnibus Objection (Substantive) to

Certain Claims (A) for which the Debtors have No Liabilty; and (B) which are Overstated and Should be Reduced (Entered March 24,2010; Docket No. 1436)
(c) (signed) Revised Order Approving Debtors' Third Omnbus Objection

(Substantive) to Certin Claims (A) for which the Debtors have No Liabilty; and (B) which are Overstated and Should be Reduced (Entered April 1,2010;
Docket No. 1474)

Objection Deadline: March 17,2010 at 4:00 p.m. (Extended to April 14,2010 for Marathon Oil)
Obj ectionslResponses:

(a) Limited Response of

Medema Family Trust and Medema Properties, LLC (Filed March 17,2010; Docket No. 1403)

(b) Response of

Forest Oil Corporation and Forest Alaska Holding LLC (Filed March

17,2010; Docket No. 1405)

(c) Response of

Cook Inlet Pipe Line Company (Filed March 19,2010; Docket No.

1412)
Status: This matter is going forward.

ORA ARGUMENT ON MOTIONS FOR SUMMARY JUDGMENT:


19. Application for Oral Argument re: Union Oil Company of

California v. Pacifc Energy

Alaska Operating, LLC, and Silver Point Finance, LLC (Filed Januar 7, 2010, A-09-

51066, Docket No. 25)


Related Documents:
(a) Complaint for Declaratory Judgment Determining Validity and Priority of

Liens

(Filed June 18,2009; Docket No. 465 and A-09-51066, Docket No.1)

(b) Amended and Supplemental Complaint for Declaratory Judgment Determining Liens (Filed October 12,2009, A-51066, Docket No.9)
Validity and Priority of (c) Notice of Completion of

Briefing (Filed Januar 12,2010, A-09-51066, Docket

No. 26)

Answer Deadline: July 20, 2009 at 4:00 p.m.

68773-002\DOCS _DE: 158850.2

Answers Filed:
(a) Defendant Silver Point Finance's Answer and Separate Defenses to Plaintiffs

Complaint for Declaratory Judgment (Filed July 20, 2009; A-09-51 066, Docket

No.4)
(b) Pacific Energy Alaska Operating, LLC's Answer to Complaint (Filed July 20,

2009, A-09-51066, Docket No.5)


(c) Defendant Silver Point Finance's Answer and Separate Defenses to Plaintiffs

Amended Complaint for Declaratory Judgment (Filed November 2, 2009; A-0951066, Docket No. 10)

(d) Pacific Energy Alaska Operating, LLC's Answer to Amended and Supplemental

Complaint (Filed November 2,2009, A-09-51066, Docket No. 11)

Summary Jud!!ment Motion (Union Oil Company of California)


A. Union Oil Company of

California's Motion for Sumar Judgment (Filed December 4,2010, A-09-51066, Docket No. 12)
Related Documents:
California's Opening Brief

(1) Union Oil Company of

in Support ofIts

Motion for Sumar Judgment (Filed December 4,2010, A-09-51066,


Docket No. 13)

(2) Affidavit of

California's Opening Brief in Support of Its Motion for Sumar Judgment (Filed December 4,
Roger Elder to Union Oil Company of 2010, A-09-51066, Docket

No. 14)

(3) Affidavit of

California's Shanon W. Marin to Union Oil Company of Opening Brief in Support of Its Motion for Sumar Judgment (Filed December 4,2010, A-09-51066, Docket No. 15)

Responses to Union Oil Company of California's Motion for Summary Judgment:


(1) Response of Pacific Energy Alaska Operating, LLC to Motion of

Union

Oil Company of California for Sumar Judgment (Filed December 18, 2009, A-09-51066, Docket No. 20)

68773-002\DOCS_DE: 158850.2 9

(2) Defendant Silver Point Finance's Memorandum of

Law in Response to

Plaintiffs Motion for Sumar Judgment and in Support ofIts Motion for

Sumar Judgment (Filed December 18,2009, A-09-51066, Docket No. 22)

Reply of Union Oil Company of California in Support of Its Motion for Summary Judgment:
(1) Union Oil Company of Californa's Reply Brief

in Support ofIts Motion

for Sumar Judgment, and Answer Brief in Opposition to Silver Point

Finance's Cross-Motion for Sumar Judgment (Filed December 29, 2009, A-09-51066, Docket No. 23)

Summary Jud!!ment Motion (Silver Point Finance)


B. Defendant Silver Point Finance's Motion for Summar Judgment (Filed
December 18,2009, A-09-51066, Docket

No. 21)

Related Documents:

(1) Defendant Silver Point Finance's Memorandum of

Law in Response to

Plaintiffs Motion for Sumar Judgment and in Support ofIts Motion for

Sumar Judgment (Filed December 18, 2009, A-09-51066, Docket No. 22)

Responses to Silver Point Finance's Motion for Summary Judgment:


(1) Union Oil Company of California's Reply Brief

in Support ofIts Motion

for Sumar Judgment, and Answer Brief in Opposition to Silver Point

Finance's Cross-Motion for Sumar Judgment (Filed December 29, 066, Docket No. 23)
2009, A-09-51

Reply re Silver Point Finance's Motion for Summary Judgment:


(1) Defendant Silver Point Finance's Reply in Support ofIts Motion for

Sumar Judgment (Filed Januar 5, 2010, A-09-51066, Docket No. 24)


Status: This matter is going forward.

68773-002\DOCS_DE: 158850.2

10

Dated: April 15,2010

PACHULSKI STANG ZIEHL & JONES LLP

, arasch (CA Bar No. 109084)


Scott E. McFarland (DE Bar No. 4184, CA Bar No. 165391)

/,~

Ro . rt M. Saunders (CA Bar No. 226172)

es E. O'Neil (DE Bar No. 4042) Kathleen P. Makowski (DE Bar No. 3648)
919 North Market Street, 17th Floor

P.O. Box 8705 Wilmington, DE 19899-8705


Telephone: 302/652-4100

Facsimile: 310/652-4400
Email: ikharasch~pszilaw.com

smcfarland~pszilaw.com rsaunders~pszilaw.com ioneil~pszilaw.com kmakowski~pszilaw.com


Counsel for Debtor and Debtor in Possession Pacific Energy Resources Ltd.

68773-002\DOCS _DE: 158850.2

11

IN THE UNITED STATES BANKRUPTCY COURT

In re: )
lists in the manner indicated:

FOR THE DISTRICT OF DELAWAR

Chapter 11

PACIFIC ENERGY RESOURCES LTD., et al., 1 )

Debtors. ))

Case No. 09-10785 (KC) (Jointly Administered)

CERTIFICATE OF SERVICE
I, James E. O'Neil, Esquire, hereby certify that on the 15th day of April, 2010, I

caused a copy of the following documents to be served on the individuals on the attached service

Notice 0 Agenda for Matters Scheduled for Hearing on April

19, 2010

at 3:00 p.m.

l
i

the Debtors' federal tax identification number, are: Pacific Energy Resources Ltd. (3442); Petrocal Acquisition Corp. (6249); Pacific Energy Alaska
1 The Debtors in these cases, along with the last four digits of each of

Holdings, LLC (tax I.D. # not available); Cameros Acquisition Corp. (5866); Pacific Energy Alaska Operating LLC (7021); San Pedro Bay Pipeline Company (1234); Cameros Energy, Inc. (9487); and Gotland Oil, Inc. (5463). The
mailng address for all of

the Debtors is 111 W. Ocean Boulevard, Suite 1240, Long Beach, CA 90802.

68773-001\DOCS_DE: 148092.11

ALL BELOW SERVED VIA FACSIMILE

ATTORNEY
Joseph McMahon, Esq.
(U.S. Trustee)

FAX NUMBER 302-573-6497


31001-0760

PHONE NUMBER

I I

I 302-573-6491

Ira D. Kharasch, Esq. Robert Saunders, Esq. Scotta McFarland, Esq.


(counsel to the Debtors)
Jeffrey Sabin, Esq.

310-277-6910

212-752-5378
617-345-5001

212-705-7747
617-951-8288 312-407-0889

(counsel to the Lenders)

Amy Kyle, Esq.


(counsel to the Lenders)
Seth Jacobson, Esq.

312-407-8511

(counsel for the Lenders)


David B. Stratton, Esq.
James C. Carignan, Esq.

302-421-8390

302-777-6500

(counsel for Creditors' Committee)


Francis J. Lawall, Esq. (counsel for Creditors' Committee)
215-981-4750
202-429-3902

215-981-4000 202-429-3000

Filiberto Agusti, Esq.


Steven Reed, Esq.

Josehua Taylor, Esq.


(counsel for Creditors' Committee)

Robbin Itkin, Esq. Katherine Piper, Esq. Kelly Frazier, Esq. (counsel for Creditors' Committee)

310-734-3300

310-734-3200

Douglas N. Candeub, Esquire (counsel for Cook Inlet Pipe Line Company)
Tobey M. Daluz, Esquire
(Counsel for Noble Energy, Inc.)

302-571-1750 302-252-4466
713-654-1871

302-888-6854
302-252-4465
713-654-8111

David M. Bennett, Esquire


(counsel for Noble Energy, Inc.)

Justin W. Dersch, Esquire (counsel for CA State Controller's Office)


William E. Chipman, Jr., Esquire
(counsel for Medema Family Trust)

916-322-1220

916-445-2636

302-467-4450

302-467-4400

John C. Siemers, Esquire

907-258-2530 302-658-3989

907-276-6100 302-658-9200

(counsel for Medema Family Trust)


Robert J. Dehney, Esquire

Curtis S. Miler, Esquire Ann C. Cordo, Esquire (counsel for Forest)


Steven M. Abramowitz, Esquire (counsel for Forest)
212-237-0100
713-758-2346
610-371-7972

212-237-0000
713-758-2222

Ronald L. Oran, Jr., Esquire (counsel for Forest)

Joseph H. Huston, Jr., Esquire


Maria Aprile Sawczuk, Esquire

302-425-3310

(counsel for State of Alaska)

Lorenzo Marinuzzi, Esquire (counsel for State of Alaska)

212-468-7900
800-767-4157

212-468-8000
506-644-5361

Jennifer Fraser, Esquire (counsel for ExxonMobil)


Mark M. Harrison, Esquire (counsel for ExxonMobil) Robert W. Mallard, Esquire (counsel for Cook Inlet Region, Inc.)
John C.. Smith, Squire

703-846-4672 302-425-7177

703-846-2816
302-425-7171

602-734-3834 302-425-6464
302-252-4330

602-262-5348

(counsel for Salamatof)

Micahel D. DeBaecke, Esquire (counsel for Salamatof)

302-425-6412

Francis A. Monzco, Jr., Esquire Kevin J. Mangan, Esquire (counsel for Marathon Oil Company)

302-252-4320

Richard E. Morton, Esquire Matthew E. Ross, Esquire (counsel for Marathon Oil Company)

704-444-9963

704-331-4993

Norman M. Monhait, Esquire (counsel for Union Oil Company ofCA)


Richard L. Epling, Esquire (counsel for Union Oil Company of CA)

302-658-7567

302-656-4433
212-858- i 000

212-858-1500

Cabot Christianson, Esquire (counsel for Union Oil Company ofCA)


Ian S. Fredericks, Esquire (counsel for Silver Point Finance LLC)

907-258-2026
302-651-3001

907-258-6016

302-651-3000
312-407-0700

Chris L. Dickerson, Esquire (counsel for Silver Point Finance LLC)


Carl D. Neff, Esquire (counsel for New Alaska Energy, LLC)

312-407-0411

302-658-1300

302-658-1100

DOCS_DE \58996.\

SPECIAL SERVICE LIST APRIL 15,2010

First Class Mail (claimant Hugh E. Smith _ ls~


Mr. Hugh E. Smith P.O. Box 500667 Atlanta, GA 31150-0667

68773-002\DOCS _DE: i 58252. i

Pacific Energy Local Counsel Service List


Case No. 09-10785
Document No. 146724

17 - Hand Delivery

Hand Delivery (United States Attorney) Ellen W. Slights, Esq. United States Attorney's Office District of Delaware
1007 N. Orange Street, Suite 700

Wilmington, DE 19801
Counsel for Debtors) Laura Davis Jones, Esquire James E. O'Neil, Esquire Kathleen P. Makowski, Esquire Pachulski Stang Ziehl & Jones LLP
919 North Market Street, 17th Floor

P.O. Box 8705 Wilmington, DE 19899-8705

Hand Delivery (Counsel for Silver Point Finance) Ian S. Fredericks, Esquire Skadden Arps, Slate, Meagher & Flom LLP One Rodney Square P.O. Box 636 Wilmington, DE 19899 Hand Delivery (Counsel for J. Aron & Company) Don A. Beskrone, Esquire Amanda M. Winfree, Esquire Ashby & Geddes, P.A.
500 Delaware Avenue, 8th Floor

Interoffice Pouch to Los Angeles


Counsel for Debtors) Robert M. Saunders, Esquire Ira D. Kharasch, Esquire Scotta E. McFarland, Esquire Pachulski Stang Ziehl & Jones LLP
10100 Santa Monica Blvd., 11 th Floor

Wilmington, DE 19899
Hand Delivery (Counsel for Union Oil Company of California, a California Corporation) Norman M. Monhait, Esquire Rosenthal, Monhait & Goddess, P A
Citzens Bank Center, Suite 1401

Los Angeles, CA 90067


Hand Delivery (United States Trustee) Joseph McMahon, Esquire Offce of the United States Trustee J. Caleb Boggs Federal Building 844 North King Street, Suite 2207
Lockbox 35

919 Market Street, P.O. Box 1070 Wilmington, DE 19899


Hand Delivery (Counsel for Westchester Fire Insurance Company and Noble Energy Inc.) Tobey M. Daluz, Esquire Joshua E. Zugerman, Esquire Ballard Spahr Andrews & Ingersoll, LLP

Wilmington, DE 19801
Hand Delivery (Copy Service)
Parcels, Inc.

Vito i. DiMaio 230 N. Market Street Wilmington, DE 19801

919 N. Market Street, ith Floor Wilmington, DE 19801

Hand Delivery (Counsel for Oxy Long Beach Inc.) David L. Finger, Esquire
Finder, Slanina Liebesman, LLC

One Commerce Center 1201 N. Orange St., ih Floor Wilmington, DE 19801


Hand Delivery
Unsecured Creditors) David B. Stratton, Esquire James C. Carignan, Esquire Pepper Hamilton LLP
(Official Committee of

Hand Delivery (Counsel for Ammadon Limited and Catherwood Limited) Mark E. Felger, Esquire Cozen 0' Connor 1201 N. Market Street, Suite 1400 Wilmington, DE 19801 Hand Delivery (Counsel for Forest Oil Corporation) Robert J. Dehney, Esquire Curtis S. Miler, Esquire Morris Nichols Arsht & Tunnell LLP 1201 N. Market Street Wilmington, DE 19899
Hand Delivery (Counsel for Stellar Energy LLC) Brian E. Farnan, Esquire Phillps, Goldman & Spence, P.A. 1200 North Broom Street Wilmington, DE 19806 Hand Delivery
(Counsel for Ramshorn Investments, Inc.)

Hercules Plaza, Suite 1500

13 13 Market Street

Wilmington, DE 19899
Hand Delivery (Counsel for Marathon Oil Company) Kevin J. Mangan, Esquire Womble Carlyle Sandridge & Rice, PLLC 222 Delaware Avenue, Suite 1501
Wilmington, DE 19801

Hand Delivery
(Counsel for Cook Inlet Region, Inc.)

Jonathan L. Parshall, Esquire Murphy & Landon


1011 Centre Road, Suite 210

Eric Lopez Schnabel, Esquire Dorsey & Whitney (Delaware) LLP 300 Delaware Avenue, Suite 1010 Wilmington, DE 19801
Hand Delivery (Counsel for Area Energy LLC) Norman L. Pernick, Esquire Karen M. McKinley, Esquire Cole, Schotz, Meisel, Forman & Leonard,
P.A.

Wilmington, DE 19805
Hand Delivery (Counsel for Longfellow Energy LP) Teresa K.D. Currier, Esquire Saul Ewing LLP 222 Delaware Avenue, Suite 1200 Wilmington, DE 19899

500 Delaware Avenue, Suite 1410 Wilmington, DE 19801

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