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Full title: Order Sustaining the Wind-Down Trustee and Liquidation Trustee's First Joint Omnibus Objection to Certain Proofs of Claim (Late-Filed Claims) Signed on 5/12/2021 (Related document(s):1359 Objection to Claim) (TylerLaws) (Entered: 05/12/2021)

Document posted on May 11, 2021 in the bankruptcy, 5 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

OBJECTION TO CERTAIN PROOFS OF CLAIM (LATE-FILED CLAIMS) Upon the objection (the “Objection”)2 of Scott A. Rinaldi, in his capacity as Trustee of the BJ Services Wind-Down Trust (the “Wind-Down Trustee”), and as sole representative of the above-captioned debtors (collectively, the “Debtors”) and Norman N. Kinel, in his capacity as Trustee of the BJS Liquidation Trust (the “Liquidation Trustee,” and together with the Wind-Down Trustee, the “Trustees”) for entry of an order (this “Order”): (a) sustaining the objections to certain Late-Filed Claims, all as more fully set forth in the Objection and the Rinaldi Declaration; and this Court having jurisdiction over this matter pursuant to 28 U.S.C. § 1334; and this Court having found that this is a core proceeding pursuant to 28 U.S.C. § 157(b)(2); and this Court having found that it may enter a final order consistent with Article III of the United States Constitution; and this Court having found that venue of this proceeding and the Objection in this district is permissible pursuant to 28 U.S.C. §§ 1408 and 1409; and this Court having found that the relief requested in the Objection is in the best interests of all parties in interest; and this Court having found that 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification number, are: BJ Services, LLC (3543); BJ Management Services, L.P. (8396); BJ Services Holdings Canada, ULC (6181); and BJ Services Management Holdings Corporation (0481). notice of the Objection and opportunity for a hearing on the Objection were appropriate under the circumstances and no other notice need be provided; and this Court having reviewed the Objection and having heard the statements in support of the relief requested therein at a hearing before this Court (the “Hearing”); and this Court having determined that the legal and factual bases set forth in the Objection and at the Hearing establish just cause for the relief granted herein; and upon all of the proceedings had before this Court; and after due deliberation and sufficient cause appearing therefor, it is HEREBY ORDERED THAT: 1. Donlin, Recano & Company, Inc. as claims, noticing and solicitation agent, is authorized and directed to update the claims register maintained in these chapter 11 cases to reflect the relief granted in this Order.To the extent a response was filed regarding any Late-Filed Claim, each such Late- Filed Claim, and the Objection as it pertains to such Late-Filed Claim, will constitute a separate contested matter as contemplated by Bankruptcy Rule 9014.Notwithstanding the relief granted in this Order and any actions taken pursuant to such relief, nothing in this Order shall be deemed: (a) an admission as to the validity of any claim; (b) a waiver of any right of any Debtor, the Wind-Down Trust, the Wind-Down Trustee, the Liquidation Trust, or the Liquidation Trustee to dispute any claim on any grounds; (c) a promise

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION ENTERED 05/12/2021 ) In re: ) Chapter 11 ) BJ SERVICES, LLC, et al.,1 ) Case No. 20-33627 (MI) ) Debtors. ) (Jointly Administered) ) Relates to Docket No.: 1359 ORDER SUSTAINING THE WIND-DOWN TRUSTEE AND LIQUIDATION TRUSTEE’S FIRST JOINT OMNIBUS OBJECTION TO CERTAIN PROOFS OF CLAIM (LATE-FILED CLAIMS) Upon the objection (the “Objection”)2 of Scott A. Rinaldi, in his capacity as Trustee of the BJ Services Wind-Down Trust (the “Wind-Down Trustee”), and as sole representative of the above-captioned debtors (collectively, the “Debtors”) and Norman N. Kinel, in his capacity as Trustee of the BJS Liquidation Trust (the “Liquidation Trustee,” and together with the Wind-Down Trustee, the “Trustees”) for entry of an order (this “Order”): (a) sustaining the objections to certain Late-Filed Claims, all as more fully set forth in the Objection and the Rinaldi Declaration; and this Court having jurisdiction over this matter pursuant to 28 U.S.C. § 1334; and this Court having found that this is a core proceeding pursuant to 28 U.S.C. § 157(b)(2); and this Court having found that it may enter a final order consistent with Article III of the United States Constitution; and this Court having found that venue of this proceeding and the Objection in this district is permissible pursuant to 28 U.S.C. §§ 1408 and 1409; and this Court having found that the relief requested in the Objection is in the best interests of all parties in interest; and this Court having found that 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification number, are: BJ Services, LLC (3543); BJ Management Services, L.P. (8396); BJ Services Holdings Canada, ULC (6181); and BJ Services Management Holdings Corporation (0481). The Debtors’ service address is: 11211 Farm to Market 2920 Road, Tomball, Texas 77375. 2 Capitalized terms used but not otherwise defined herein have the meanings ascribed to them in the Objection.

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notice of the Objection and opportunity for a hearing on the Objection were appropriate under the circumstances and no other notice need be provided; and this Court having reviewed the Objection and having heard the statements in support of the relief requested therein at a hearing before this Court (the “Hearing”); and this Court having determined that the legal and factual bases set forth in the Objection and at the Hearing establish just cause for the relief granted herein; and upon all of the proceedings had before this Court; and after due deliberation and sufficient cause appearing therefor, it is HEREBY ORDERED THAT: 1. Each Late-Filed Claim identified on Schedule 1 attached hereto is disallowed. 1. Donlin, Recano & Company, Inc. as claims, noticing and solicitation agent, is authorized and directed to update the claims register maintained in these chapter 11 cases to reflect the relief granted in this Order. 2. To the extent a response was filed regarding any Late-Filed Claim, each such Late- Filed Claim, and the Objection as it pertains to such Late-Filed Claim, will constitute a separate contested matter as contemplated by Bankruptcy Rule 9014. This Order will be deemed a separate order with respect to each Late-Filed Claim. 3. Notwithstanding the relief granted in this Order and any actions taken pursuant to such relief, nothing in this Order shall be deemed: (a) an admission as to the validity of any claim; (b) a waiver of any right of any Debtor, the Wind-Down Trust, the Wind-Down Trustee, the Liquidation Trust, or the Liquidation Trustee to dispute any claim on any grounds; (c) a promise or requirement to pay any claim; (d) an implication or admission that any particular claim is of a type specified or defined in this Motion or any order granting the relief requested in this Motion; (e) a request or authorization to assume any prepetition agreement, contract, or lease pursuant to 2

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section 365 of the Bankruptcy Code; or (f) a waiver of any right of any Debtor, the Wind-Down Trust, the Wind-Down Trustee, the Liquidation Trust, or the Liquidation Trustee under the Bankruptcy Code or any other applicable law. 4. The Wind-Down Trustee is authorized to take all actions necessary to effectuate the relief granted in this Order in accordance with the Objection. 5. This Court retains exclusive jurisdiction with respect to all matters arising from or related to the implementation, interpretation, and enforcement of this Order. SIGNED 05/12/2021 ___________________________________ Marvin Isgur United States Bankruptcy Judge 3

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Schedule 1 Late-Filed Claims
Table 1 on page 4. Back to List of Tables
NAME/ADDRESS OF
CLAIMANT
DATE
CLAIM
FILED
CLAIM
NUMBER
CLAIM
CLASSIFICATION
CLAIM
AMOUNT
REASON FOR DISALLOWANCE
CONSTELLATION NEWENERGY INC
STRATEGIC CREDIT SOLUTIONS
1310 POINT ST 12TH FLOOR
BALTIMORE, MD 21231
12/08/20 DRC No. 709
No ECF No.
Administrative and
General Unsecured
$87,045.13 Claim was filed after the Prepetition and
Section 503(b)(9) Claims Bar Date on
October 2, 2020 at 5:00pm (Prevailing
Central Time).
CTE CEMENT TEST EQUIPMENT INC
PETER MACKAY
4001 W EDISON ST
TULSA, OK 74127
11/20/20 DRC No. 695
No ECF No.
Administrative and
General Unsecured
$51,808.56 Claim was filed after the Prepetition and
Section 503(b)(9) Claims Bar Date on
October 2, 2020 at 5:00pm (Prevailing
Central Time).
NM- TAXATION AND REVENUE DEPT
LISA ELA
PO BOX 8575
ALBUQUERQUE, NM 87918-8575
02/03/21 DRC No. 732
No ECF No.
Priority and General
Unsecured
$52,173.14 Claim was filed after the Governmental
Unit Claims Bar Date on January 19,
2021 at 5:00pm (Prevailing Central
Time).
NM- TAXATION AND REVENUE DEPT
LISA ELA
PO BOX 8575
ALBUQUERQUE, NM 87918-8575
02/03/21 DRC No. 733
No ECF No.
Priority and General
Unsecured
$5,905.38 Claim was filed after the Governmental
Unit Claims Bar Date on January 19,
2021 at 5:00pm (Prevailing Central
Time).
PERF SEALERS
RIVER CANYON INVESTMENTS LLC
SCOTT GREENBAUER
16225 PARK TEN PL STE 500
HOUSTON, TX 77084
10/05/20 DRC No. 588 Priority and General
Unsecured
$5,352.42 Claim was filed after the Prepetition and
Section 503(b)(9) Claims Bar Date on
October 2, 2020 at 5:00pm (Prevailing
Central Time).
REHAB PLUS THERAPEUTIC PROD. INC
JARDY POWELL
726 DONALD PRESTON DR
WOLFFORTH, TX 79382
10/07/20 DRC No. 604
No ECF No.
Administrative and
General Unsecured
$4,438.96 Claim was filed after the Prepetition and
Section 503(b)(9) Claims Bar Date on
October 2, 2020 at 5:00pm (Prevailing
Central Time).
THURNER, WADE
338 WEBSTER DR
RED DEER, AB T4N 1A6
CANADA
10/08/20 DRC No. 600
No ECF No.
Priority and General
Unsecured
$140,332.38 Claim was filed after the Prepetition and
Section 503(b)(9) Claims Bar Date on
October 2, 2020 at 5:00pm (Prevailing
Central Time).

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Table 1 on page 5. Back to List of Tables
NAME/ADDRESS OF
CLAIMANT
DATE
CLAIM
FILED
CLAIM
NUMBER
CLAIM
CLASSIFICATION
CLAIM
AMOUNT
REASON FOR DISALLOWANCE
WATSON MACHINE WORKS LLC
3808 MCCOY DR
BOSSIER CITY, LA 71111
10/22/20 DRC No. 644
No ECF No.
Priority and General
Unsecured
$24,112.83 Claim was filed after the Prepetition and
Section 503(b)(9) Claims Bar Date on
October 2, 2020 at 5:00pm (Prevailing
Central Time).

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