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IN THE UNITED STATES BANKRUPTCY COURT

FOR THE DISTRICT OF DELAWARE

In re:

) Chapter 11

PACIFIC ENERGY RESOURCES LTD., et al.,!


Debtor.

) Case No. 09- 10785 (KJC)


) (Jointly Administered)
) Related Docket No.

Requested Deadline for Objections to Sale Procedures: June 26, 2009 at 12:00 noon. Requested Hearing Date on Sale Procedures: July 1,2009 at 10:00 a.m.

DEBTORS' MOTION TO SET A HEARING DATE AND SHORTEN NOTICE ON DEBTORS' MOTION FOR AN ORDER (A) APPROVING
PROCEDURES FOR SALE OF THE DEBTORS' BET A ASSETS; (B) SCHEDULING

AUCTION AND HEARING TO CONSIDER APPROVAL OF SALE; (C) APPROVING NOTICE OF RESPECTIVE DATES, TIMES, AND PLACES FOR AUCTION AND FOR HEARING ON APPROVAL OF (I) SALE AND (II) ASSUMPTION AND ASSIGNMENT OF CERTAIN EXECUTORY CONTRACTS AND UNEXPIRED LEASES; (D) APPROVING FORMS OF NOTICE; AND (E) GRANTING RELATED RELIEF
Pacific Energy Resources Ltd. ("PERL,,)2 and the other above-captioned debtors and

debtors in possession (collectively, the "Debtors") hereby move this Cour (the "Motion to
Shorten") for an Order fixing a hearing date and shortening the notice period for Debtors'
Motion for an Order (A) Approving Procedures for Sale of the Debtors' Beta Assets; (B)
Scheduling Auction and Hearing to Consider Approval of

Sale; (C) Approving Notice of

The Debtors in these cases, along with the last four digits of each Debtor's federal tax identification number, are: Pacific Energy Resources Ltd. (3442); Petrocal Acquisition Corp. (6249); Pacific Energy Alaska 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); the Debtors is 111 W. Ocean Boulevard, Suite 1240, and Gotland Oil, Inc. (5463). The address for all of
Long Beach, CA.
2 Capitalized terms that are not expressly defined herein shall have the meanings ascribed to such terms in

the proposed Purchase and Sale Agreement (the "Agreement") between PERL and the Successful Bidder (defined in the Sale Procedures Motion, as such term is defined herein) for the Beta Assets, on the other hand, substantially in the form attached to the Sale Procedures Motion as Exhibit A.

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Respective Dates, Times, and Places for Auction and for Hearing on Approval of (I) Sale and (II)
Assumption and assignment of

Certain Executory Contracts and Unexpired Leases; (D)


Notice; and (E) Granting Related Relief(the "Sale Procedures Motion,,).3

Approving Forms of

The Sale Procedures Motion was fied on the date hereof. Debtors' counsel served the
Sale Procedures Motion by email, fax, via delivery service or first-class U.S. mail on the
following: (i) the Office of

the United States Trustee; (ii) counsel to the Official Committee of

Unsecured Creditors; (iii) counsel to the Debtors' prepetition and postpetition lenders; and (iv)
those persons who have requested notice pursuant to Rule 2002 of

the Federal Rules of

Bankptcy Procedure. The Debtors submits that, in light of the nature of the relief requested, no
other or fuher notice need be given.

By the Sale Procedures Motion, the Debtors seek, among other things, approval of the

proposed sale procedures substantially in the form set forth in Exhibit B thereto (the "Sale Procedures") through which they shall determine, in consultation with their debtor in possession
financing lenders (the "Lenders") and the Official Committee of

Unsecured Creditors appointed

in these cases (the "Committee"), the highest and best offer for (A) PERL's (a) interests in leased
oil and gas production assets located offshore near Huntington Beach, California and related

assets and contracts (the "Beta Interests") and (b) stock ("Stock") in the San Pedro Bay Pipeline

Company ("SPBPCo"), one of the Debtors, which owns a pipeline that runs from the Beta
Interests to shore (the Beta Interests and Stock are collectively referred to here in as the "Beta
Assets").

3 Unless otherwise defined herein, all capitalized terms shall have the meanings ascribed to them in the
Sale Procedures Motion.
68773-002\DOCS _ LA:203833.4

Also, by the Sale Procedures Motion, the Debtors also seek to confirm the date, time and

place of (1) the Auction (as such term is defined in the Sale Procedures) and (2) the hearing to
approve any proposed sale (the "Sale Hearing").

Additionally, by the Sale Procedures Motion, the Debtors also seek approval of (a) the
proposed Notice of

Sale Procedures, Auction and Sale Hearing substantially in the form attached

to the Sale Procedures Motion as Exhibit C for service after entry of the Sale Procedures Order
on the regular service list; (b) the proposed Notice of Auction and Sale Hearing substantially in
the form attached to the Sale Procedures Motion as Exhibit D for service after entry of

the Sale

Procedures Order on creditors; and (c) Notice to Counter

parties to Executory Contracts and

Unexpired Leases that May Be Assumed and Assigned, including proposed cure amounts,

attached to the Sale Procedures Motion as Exhibit E for service after entry of the Sale Procedures

Order on contract counterparies and lessors.


As set forth in more detail in the Necessity of Prompt Sale section of

the Sale Procedures

Motion, this Motion to Shorten is based on the need to protect the value of PERL's business as a
going concern. The Debtors' prepetition secured lenders, as a condition of

providing the debtor

in possession loan facilty (the "DIP Financing Facility"), required the Debtors to promptly
pursue a sale of the Beta Assets. The Debtors must meet a strict schedule for attempting to sell
the Beta Assets pursuant to a requirement in an amendment to the credit agreement (the "Credit

Agreement Amendment") authorized by this Cour's final order approving the DIP Financing

Facilty in these Cases (the "Pinal DIP Pinancing Ordcr") and cxccutcd by thc Dcbtors and
Lenders (as defined below), effective as of

May 15,2009, as follows: (a) a June 19,2009

deadline to file motion to approve sale to stalking horse and associated procedures or, if no stalking horse, this Motion to approve the Sale Procedures; (b) a July 20, 2009 deadline for entry
68773-002\DOCS _ LA:203833.4

of the Sale Procedures Order requested by this Motion; (c) a July 31, 2009 deadline for the
Auction requested by this Motion; (d) a August 4,2009 deadline for entry of

the Sale Order; (e)

an August 13,2009 deadline for closing of

any sales (or such later date as may be necessar to

obtain regulatory approvals). The Debtors have no alternative means to fund operation of

the
the deadlines in the

Beta Assets because they canot borrow under the DIP Financing Facilty if

Credit Agreement Amendment pass without a sale and because they may not use cash collateral
under the terms of

the Final DIP Financing Order. Therefore, the Debtors believe that an

expedited sale is in the best interest of their estates.

Through this Motion to Shorten, the Debtors seek an order from this Court approving the

notice procedure described herein and fixing the hearing on the Sale Procedures Motion for July
1,2009 at 10:00 a.m. prevailng Eastern time, which is the next regularly scheduled omnibus

hearing date and time in theses cases, and requiring that objections, if any, to the Sale Procedures
Motion must be fied with the Court and served upon counsel

listed in the notice of the Sale

Procedure Motion by June 26, 2009 at 12:00 noon prevailng Eastern time, which is the
regular date for objections to motions set to be heard at the July 1, 2009 omnibus hearing in these
cases pursuant to this Court's Local Rule 9006-1

(c)(iii).

By setting the hearing on the Sale Procedure Motion for July 1,2009, the Debtors would
be able to hold the Auction on July 31, 2009 and could provide regular notice of the Sale
Hearing if it is held on the deadline date of August 4, 2009 for entry of the Sale Order as

required by the Credit Agreement Amendment. Additionally, pursuant to an Order entered July
17, 2009, this Court scheduled the hearing on the Debtors' motion for approval of their proposed

sale procedures for their Alaska assets for the July 1,2009 at 10:00 a.m. (prevailing Eastern
time) regularly scheduled omnibus hearing.
68773-002\DOCS _ LA:203833.4

Local Rule 9006-1 (c )(i) contemplates 18 days' notice of a hearing in the event a motion

is served by first class mail and 16 days' notice of a hearing in the event a motion is served by

overnight delivery. This Motion to Shorten and the Sale Procedures Motion wil be served on
June 19,2009 by hand delivery, overnight carrier, facsimile transmission and/or electronic mail,

providing 12 days' notice of the requested hearing on the Sale Procedures Motion. Insofar as the
proposed objection deadline provides possible respondents sufficient time to respond, any
possible prejudice is minimaL.

Plaintiff also proposes to serve any Order entered by the Cour on the Motion to Shorten

by hand delivery, overnight carier, facsimile transmission, and/or electronic mail upon (i) the
Offce of the United States Trustee; (ii) counsel to the Official Committee of

Unsecured

Creditors; (iii) counsel to the Debtors prepetition and postpetition lenders; and (iv) those persons
who have requested notice pursuant to Rule 2002 of the Federal Rules of

Banptcy Procedure;

within one business day after entry of

the Order.
the relief

Given the nature of

requested in the Sale Procedures Motion, the Debtors

respectfully submit that the notice procedure described above is sufficient to provide paries in
interest an opportunity to review and, if

necessar, respond to the Sale Procedures Motion.

Accordingly, under the circumstances, the Debtors submit that shortening the time for notice on

the Sale Procedures Motion in accordance with the foregoing wil not prejudice the rights of any
party in interest.

WHEREFORE, the Debtors respectfully request the entry of an Order approving the

shortening of notice, fixing deadlines for responding to the Sale Procedures Motion, scheduling a

hearing on the Sale Procedures Motion, fixing a deadline for submitting bids, fixing an auction

68773-002\DOCS _ LA:203833.4

date, fixing deadlines for the Debtors' sale motion and objections thereto, and scheduling a
hearing date on approval of sale, as requested above.
Dated: June 19, 2009

PACHULSKI STANG ZIEHL & JONES LLP


By
ra . Khara h (C ar No 109084)

ar No.4 Ll2)

3648) Robert M. Saunders (CA Bar No. 226172)


Kathleen P. M wski No.

919 North Market Street, 17th Floor

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


Telephone: 302/652-4100

Facsimile: 310/652-4400
Email: ikharasch(fpszjlaw.com
j oneil(fpszyj law.

com kmakowski(fpszjlaw.com rsaunders(fpszjlaw.com

Counsel for Debtors and Debtors in Possession

68773-002\DOCS _ LA:203833.4

IN THE UNITED STATES BANKRUPTCY COURT


FOR THE DISTRICT OF DELAWARE

In re:

) Chapter 11

PACIFIC ENERGY RESOURCES LTD, etal.,!


Debtor.

) Case No. 09-10785 (KJC)


) (Jointly Administered)
) Related Docket No.

ORDER GRANTING DEBTORS' DEBTORS' MOTION TO SET A HEARING DATE AND SHORTEN NOTICE ON DEBTORS' MOTION FOR AN ORDER (A)
APPROVING PROCEDURES FOR SALE OF THE DEBTORS' BET A ASSETS; (B)

SCHEDULING AUCTION AND HEARING TO CONSIDER APPROVAL OF SALE; (C) APPROVING NOTICE OF RESPECTIVE DATES, TIMES, AND PLACES FOR AUCTION AND FOR HEARING ON APPROV AL OF (I) SALE AND (II) ASSUMPTION AND ASSIGNMENT OF CERTAIN EXECUTORY CONTRACTS AND UNEXPIRED LEASES; (D) APPROVING FORMS OF NOTICE; AND (E) GRANTING RELATED RELIEF
Upon consideration of Debtors' Motion to Set a Hearing Date and Shorten Notice
on Debtors' Motion for an Order (A) Approving Procedures for Sale of the Debtors' Beta
Assets; (B) Scheduling Auction and Hearing to Consider Approval of

Sale; (C) Approving Notice

of Respective Dates, Times, and Places for Auction and for Hearing on Approval of (I) Sale and
(II) Assumption and assignment of

Certain Executory Contracts and Unexpired Leases; (D)

Approving Forms of

Notice; and (E) Granting Related Relief (the "Motion to Shorten"),2 it is

hereby
The Debtors in these cases, along with the last four digits of each Debtor's federal tax identification number, are: Pacific Energy Resources Ltd. (3442); Petrocal Acquisition Corp. (6249); Pacific Energy Alaska Holdings LLC (tax I.D. # not available); Cameros Acquisition Corp. (5866); Pacific Energy Alaska Operating LLC (7021); San Pedro Bay Pipeline Company (1234); Cameros the Debtors is 111 W. Ocean Energy, Inc. (9487); and Gotland Oil, Inc. (5463). The address for all of
Boulevard, Suite 1240, Long Beach, CA.

2 Unless otherwise defined herein, all capitalized terms shall have the meanings ascribed to them in the
Sale Procedures Motion.

68773-002\DOCS _ LA:203833.4

ORDERED that the Motion to Shorten is granted; and it is fuher


ORDERED that the hearing on Debtors' Motion for an Order (A) Approving

Procedures for Sale of Debtors' Beta Assets; (B) Scheduling Auction and Hearing to Consider
Approval of Sale; (C)Approving Notice of

Respective Dates, Times, and Places for Auction and

for Hearing on Approval of (I) Sale and (II) Assumption and Assignment of Certain Executory
Contracts and Unexpired Leases; (D) Approving Forms of

Notice; and (E) Granting Related

Notice (Docket No. ~ (the "Sale Procedures Motion") is scheduled for July 1,2009 at 10:00

a.m. prevailng Eastern time; and it is fuher


ORDERED that the deadline to object or respond to the Sale Procedures Motion

is set for June 26, 2009 at 12:00 noon prevailng Eastern time; and it is fuher
ORDERED that counsel for the Debtors shall, within one business day of entry of
this Order, serve a copy of

this Order, by hand delivery, overnight carrier, facsimile transmission

and/or electronic mail, on the paries originally served with the Sale Procedures Motion.

Dated: June _, 2009

Honorable Kevin J. Carey

United States Banptcy Judge

68773-002\DOCS _ LA:203833.4

IN THE UNITED STATES BANKRUPTCY COURT

In re: )
STATE OF

FOR THE DISTRICT OF DELAWAR


Chapter 11

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

)
)

Case No. 09- 10785 (KJC)

Debtors. )
DELAWARE )
) ss:

(Jointly Administered)

AFFIDAVIT OF SERVICE

COUNTY OF NEW CASTLE )


Kathleen Forte Finlayson, being duly sworn according to law, deposes and says that she
is employed by the law firm of

Pachulski Stang Ziehl & Jones LLP, attorneys for the Debtors in
the

the above-captioned action, and that on the 19th day of June, 2009 she caused a copy of

following document(s) to be served upon the paries on the attached service lists in the manner
indicated:

Debtors' Motion to Set a Hearing Date and Shorten Notice on Debtors' Motion for
an Order (A) Approving Procedures for Sale of

the Debtors' Beta Assets; (B)

Scheduling Auction and Hearing to Consider Approval of Sale; (C) Approving Notice of Respective Dates, Times and Places for Auction and for Hearing on Approval of (I) Sale and (II) Assumption and Assignment of Certain Executory Notice; and
Contracts and Unexpired Leases; (D) Approving Forms of

1 The Debtors in these cases, along with the last four digits of each of the Debtors' federal tax

identification number, are: Pacific Energy Resources Ltd. (3442); Petrocal Acquisition Corp. (6249); Pacific Energy Alaska Holdings, LLC (ta 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.

(E) Granting Related Relief

N y Public
Commission Exp.:

DEBR L. YOU NOTAR PUIC


STATE OF DELAWA
1ilS.lO~111;t ei JW 18, 2011

DOCS_DE: 149694.1

Pacifc Energy Resources Ltd.

2002 Service List Case No. 09-10785


Document No. 145745

12 - Hand Delivery
39 - First Class Mail 02 - FOREIGN First Class Mail

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
Hand Delivery (Counsel for Silver Point Finance) Ian S. Fredericks, Esquire
Skadden Ars, Slate, Meagher & Flom LLP

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

One Rodney Square P.O. Box 636 Wilmington, DE 19899


Hand Delivery (Counsel for 1. 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
Citizens Ban Center, Suite 1401

Los Angeles, CA 90067


Hand Delivery (United States Trustee) Joseph McMahon, Esquire Office 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 919 N. Market Street, 1 ih Floor Wilmington, DE 19801

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

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

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

First Class Mail


(United States Attorney General) Eric H. Holder, Jr. Offce of the Attorney General U.S. Deparment of Justice 950 Pennsylvania Avenue, N.W. Washington, DC 20530-0002

One Commerce Center


1201 N. Orange St., 7th Floor

Wilmington, DE 19801
Hand Delivery Unsecured Creditors) David B. Stratton, Esquire James C. Carignan, Esquire Pepper Hamilton LLP
(Official Committee of

First Class Mail


Secretary of State Division of Corporations Franchise Tax P.O. Box 7040 Dover, DE 19903

Hercules Plaza, Suite 1500

1313 Market Street Wilmington, DE 19899

First Class Mail


Secretary of Treasury P.O. Box 7040 Dover, DE 19903

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.) Eric Lopez Schnabel, Esquire Dorsey & Whitney (Delaware) LLP
1105 North Market Street, Suite 16th Floor

First Class Mail


Secretary of Treasury 15th & Pennsylvania Avenue, N.W. Washington, DC 20220

First Class Mail


Attn: Insolvency

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. 500 Delaware Avenue, Suite 1410 Wilmington, DE 19801

District Director Internal Revenue Service 31 Hopkins Plaza, Room 1150 Baltimore, MD 21201

First Class Mail


Internal Revenue Service P.O. Box 21126 Philadelphia, PA 19114-0326

First Class Mail


Attn: Insolvency Internal Revenue Service
1352 Marows Road, 2nd Floor
Newark, DE 19711-5445

First Class Mail


Mark Schonfeld, Esq. Regional Director Securities & Exchange Commission New York Regional Office 3 World Financial Center, Suite 400 New York, NY 10281-1022

First Class Mail


SWEPI LP

P.O. Box 576 Houston, TX 77002-0576

First Class Mail


Noble Energy, Inc.

First Class Mail


Michael A. Berman, Esq. Securities & Exchange Commission Office of General Counsel-Banptcy 100 F Street, N.E. Washington, DC 20549

100 Glenborough, Suite 100 Houston, TX 77067

First Class Mail


(Counsel to Silver Point Finance) Seth Jacobs, Esquire

Ana Meresidis, Esquire Skadden, Ars, Slate, Meagher & Flom,


LLP 333 West Wacker Drive Chicago, IL 60606-1285

First Class Mail


Matthew Berr, Esquire

Office of General Counsel Federal Communications Commission


445 iih Street, S.W.

First Class Mail


(Counsel to Goldman Sachs and J.Aron & Company) Jeffrey Sabin, Esquire Steven Wilamowsky, Esquire Scott K. Seamon, Esquire Bingham McCutchen LLP 399 Park Avenue New York, NY 10022

Washington, DC 20554

First Class Mail


POLLARD WIRELINE P.O. Box 1360 Kenai, AK 99611

First Class Mail


Chevron Oil Company
Attn: Steven Lastraps

First Class Mail


(Counsel to Goldman Sachs and J.Aron & Company) Amy Kyle
Bingham McCutchen

3800 Centerpoint Drive, Suite 100 Anchorage, AK 99503

First Class Mail


California Franchise Tax Board
Banptcy, BE MSA 345

P.O. Box 2952 Sacramento, CA 95812-2952

(Boston) One Federal Street Boston, MA 01221-1726

First Class Mail


Aera Energy LLC 10000 Ming Avenue Bakersfield, CA 93311-1164

First Class Mail (Counsel for Union Oil Company of


California, a California Corporation) Cabot Christianson, Esquire Christianson & Spraker
911 West 8th Avenue, Suite 201

Anchorage, AK 99501

First Class Mail


Linda Lautigar

First Class Mail


(Counsel for Westchester Fire Insurance Company) Robert McL. Boote, Esquire Ballard Spah Andrews & Ingersoll, LLP
1735 Market Street, 51 st Floor

Banptcy Coordinator
MMS / Denver Federal Center POBox 25165 Mail Stop 370B2 Denver, CO 80225

Philadelphia, P A 19103

First Class Mail


Kristina Engelbert RDI Royalty Distributors, Inc. PO Box 24116 Tempe, AZ 85285

First Class Mail


(Counsel for Rosecrans Energy, Ltd. And Sherwin D. Yoelin) John J. Harris, Esquire Rachel M. Feiertag, Esquire Meyers, Nave, Riback, Silver & Wilson 333 South Grand Avenue, Suite 1670 Los Angeles, CA 90071

First Class Mail


MTGLQ Investors, L.P. 85 Broad Street New York, New York 10004

First Class Mail First Class Mail


Goldman Sachs E&P Capital Attn: Matthew C. Tarer 1000 Louisiana, Suite 550 Houston, Texas 77002
(Counsel for Oxy Long Beach Inc.) Richard M. Kremen, Esquire Jodie E. Buchman, Esquire DLA Piper LLP (US)
6225 Smith Avenue

Baltimore, MD 21209

First Class Mail


SPCP Group, L.L.C.
Two Greenwich Plaza, 1 st Floor

First Class Mail


(Counsel for Noble Energy Inc.) Rhett G. Campbell, Esquire Mitchell E. Ayer, Esquire Thompson & Knight LLP 333 Clay Street, Suite 3300 Houston, TX 770022

Greenwich, CT 06830

First Class Mail


Seth E. Jacobson, Esquire L. Byron Vance III, Esquire Skadden, Ars, Slate, Meagher & Flom LLP 333 West Wacker Drive, Suite 2100 Chicago, IL 60606

First Class Mail


(Official Committee of

Unsecured

First Class Mail


(Counsel to United States Department of Interior, including the Minerals
Management Service)

E. Kathleen Shahan, Esquire U.S. Deparment of Justice 1100 L Street, NW Washington, D.C. 20005

Creditors) Francis J. Lawall, Esquire Pepper Hamilton LLP 3000 Two Logan Square Eighteenth & Arch Streets Philadelphia, PA 19103

First Class Mail


Unsecured (Official Committee of Creditors) Filiberto Agusti, Esquire Steven Reed, Esquire Joshua Taylor, Esquire Steptoe & Johnson LLP 1330 Connecticut Avenue NW Washington, DC 20036

First Class Mail


(Counsel for Aera Energy LLC) Steven E. Rich, Esquire Mayer Brown LLP
350 South Grand Avenue, 25th Floor

Los Angeles, CA 90071

First Class Mail


(Claims representative for the County of Kern)

First Class Mail


(Official Committee of

Attn: Banptcy Division


Unsecured
c/o Linda Delgado P.O. Box 579 Bakersfield, CA 93302

Creditors) Robbin Itkin, Esquire Katherine Piper, Esquire Kelly Frazier, Esquire Steptoe & Johnson LLP the Stars, 28th Floor 2121 Avenue of Los Angeles, CA 90067

FOREIGN First Class Mail


TSX Kerry D. Krochak, B.A., LL.B. Manager, Listed Issuer Services Toronto Stock Exchange 300 Fifth Avenue SA, 10th Floor Calgar, AB T2P 3C4

First Class Mail


(Counsel for Cook Inlet Region, Inc.)
Michael R. Mils, Esquire

Dorsey & Whitney LLP


1031 W. 4th Ave., Suite 600

FOREIGN First Class Mail


(Transfer Agents)
Bernadette Vilarica

Anchorage, AK 99501

Relationship Manager, Client Services

First Class Mail


(Counsel for the State of Alaska) Lorenzo Marinuzzi, Esquire Morrison & Foerster LLP the Americas 1290 Avenue of New York, NY 10104

Computershare Investor Services Inc.

510 Burard Street, 3rd Floor Vancouver, BC V6C 3B9

First Class Mail


(Counsel for DCFS Trust subservicer for
DCFS Trust)

Martin A. Mooney, Esquire Deily, Mooney & Glastetter, LLP 8 Thurlow Terrace Albany, NY 12203

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