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Full title: Notice of Filing Exhibits (RE: related document(s)1706 Notice of Appeal filed by Creditor Committee The Official Committee of Asbestos Claimants of Bestwall, LLC, 1709 Notice of Appeal filed by Attorney Heather W. Culp, 1734 Notice of Appeal filed by Interested Party Sander Esserman) filed by Garland S. Cassada on behalf of Bestwall LLC. (Attachments: # 1 Exhibit 1 # 2 Exhibit 2 # 3 Exhibit 3 # 4 Exhibit 4 # 5 Exhibit 5 # 6 Exhibit 6 # 7 Exhibit 7 # 8 Exhibit 8 # 9 Exhibit 9 # 10 Exhibit 10 # 11 Exhibit 11 # 12 Exhibit 12 # 13 Exhibit 13 # 14 Exhibit 14 # 15 Exhibit 15 # 16 Exhibit 16 # 17 Exhibit 17 # 18 Exhibit 18 # 19 Exhibit 19 # 20 Exhibit 20 # 21 Exhibit 21 # 22 Exhibit 22 # 23 Exhibit 23 # 24 Exhibit 24 # 25 Exhibit 25)(Cassada, Garland) (Entered: 05/04/2021)

Document posted on May 3, 2021 in the bankruptcy, 4 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

NOTICE OF FILING EXHIBITS Pursuant to Rule 8009 of the Federal Rules of Bankruptcy Procedure and Rule 8006-1 of the Rules of Practice and Procedure of the United States Bankruptcy Court for the Western District of North Carolina, Debtor Bestwall LLC hereby files the following exhibits for purposes of including them in the record on appeal of the Order Pursuant to Bankruptcy Rule 2004 Directing Submission of Personal Injury Questionnaires by Pending Mesothelioma Claimants and Governing the Confidentiality of Responses (Dkt. 1670)Representative’s Second Set of Interrogatories, Pursuant To Federal Rules Of Bankruptcy Procedure 7033 Directed To The Debtor And Bates White, LLC (Sept. 21, 2020)Exhibit 9 Debtor’s Supplemented Exhibit List for January Hearings on Discovery Motions and Limiting Motions Notice of Bestwall LLC’s Designations of the Deposition of Charles E. Bates, PhD Exhibit 16 Order on Motions to Seal Materials in Record of Estimation Proceeding and Protocol for Redaction of Record, In re Garlock Sealing Techs.

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UNITED STATES BANKRUPTCY COURT WESTERN DISTRICT OF NORTH CAROLINA CHARLOTTE DIVISION In re Chapter 11 BESTWALL LLC,1 Case No. 17-31795 (LTB) Debtor. NOTICE OF FILING EXHIBITS Pursuant to Rule 8009 of the Federal Rules of Bankruptcy Procedure and Rule 8006-1 of the Rules of Practice and Procedure of the United States Bankruptcy Court for the Western District of North Carolina, Debtor Bestwall LLC hereby files the following exhibits for purposes of including them in the record on appeal of the Order Pursuant to Bankruptcy Rule 2004 Directing Submission of Personal Injury Questionnaires by Pending Mesothelioma Claimants and Governing the Confidentiality of Responses (Dkt. 1670) (the “PIQ Order”). Exhibit 1 Agreed Protective Order Governing Confidential Information, In re Specialty Products Holding Corp., No. 10-11780 (Bankr. D. Del. 2010) (Dkt. 471) Exhibit 2 Baron & Budd Website, https://baronandbudd.com/mesothelioma- lawyer/mesothelioma-lawsuit-faqs/ Exhibit 3 Bestwall LLC’s Amended Responses And Objections To The Official Committee Of Asbestos Claimants’ And Future Claimants’ Representative’s Second Set of Interrogatories, Pursuant To Federal Rules Of Bankruptcy Procedure 7033 Directed To The Debtor And Bates White, LLC (Sept. 21, 2020) Exhibit 4 Bestwall LLC’s Responses And Objections To The Official Committee Of Asbestos Claimants’ And Future Claimants’ 1 The last four digits of the Debtor’s taxpayer identification number are 5815. The Debtor’s address is 133 Peachtree Street, N.E., Atlanta, Georgia 30303.

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Representative’s First Requests For Production Of Documents, Interrogatories, And Requests For Admission Pursuant To Federal Rules Of Bankruptcy Procedure 7026, 7033, 7034, And 7036 Directed To The Debtor And Bates White, LLC (Aug. 28, 2020) Exhibit 5 Bestwall LLC’s Responses And Objections To The Official Committee Of Asbestos Claimants’ And Future Claimants’ Representative’s Second Set of Interrogatories, Pursuant To Federal Rules Of Bankruptcy Procedure 7033 Directed To The Debtor And Bates White, LLC (Sept. 9, 2020) Exhibit 6 Debtor’s Slides at 1/21/21 Hearing Exhibit 7 Debtor’s Slides at 4/22/21 Hearing Exhibit 8 Defendants’ First Supplemental Interrogatories to Plaintiff, Civil Action No. 16-3632 (Middlesex Cty., Mass., May 23, 2017) Exhibit 9 Debtor’s Supplemented Exhibit List for January Hearings on Discovery Motions and Limiting Motions Exhibit 10 Designations of the Deposition of Charles E. Bates, PhD Exhibit 11 Designations of the Deposition of Mark Peterson, PhD taken on December 29, 2020 Exhibit 12 Exhibits to the deposition of Mark A. Peterson, PhD Exhibit 13 Garlock Settlement Facility Proof of Claim Form Exhibit 14 Motion of the Debtors for an Order Pursuant to Bankruptcy Rule 2004 Directing Submission of Information by Current Asbestos Mesothelioma Claimants, In re Garlock Sealing Techs. LLC, No. 10-31607 (Bankr. W.D.N.C. 2012) (Dkt. 1006) Exhibit 15 Notice of Bestwall LLC’s Designations of the Deposition of Charles E. Bates, PhD Exhibit 16 Notice of Bestwall LLC’s Designations of the Deposition of Mark Peterson, PhD

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Exhibit 17 Order on Motions to Seal Materials in Record of Estimation Proceeding and Protocol for Redaction of Record, In re Garlock Sealing Techs. LLC, No. 10-31607 (Bankr. W.D.N.C. 2014) (Dkt. 4195) Exhibit 18 Plaintiff’s Answers to Defendants’ Revised Standard Interrogatories, Civil Action No. 16- 3632 (Middlesex Cty., Mass., Feb. 1, 2017) Exhibit 19 Plaintiff’s Second Amended Disclosure Form, Civil Action No. 16-3632 (Middlesex Cty., Mass., Feb. 1, 2017) Exhibit 20 Slides 45 and 57-58 from Garlock Estimation Trial Exhibit GST-8005 Exhibit 21 Status Conference Scheduling Order, Andolo v. Union Carbide Corp., No. 24x12000747 (Balt. City Cir. Ct. Nov. 14, 2019) Exhibit 22 U.S. Gypsum Asbestos Personal Injury Settlement Trust Distribution Procedures Exhibit 23 USG Asbestos Personal Injury Settlement Trust Proof of Claim Form Exhibit 24 W.R. Grace Asbestos Personal Injury Questionnaire (more legible version of questionnaire contained in Dkt. 1236-9) Exhibit 25 Weitz & Luxenberg Website, https://www.weitzlux.com/mesothelioma/

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Dated: May 4, 2021 Respectfully submitted, Charlotte, North Carolina /s/ Garland S. Cassada Garland S. Cassada (NC Bar No. 12352) Richard C. Worf, Jr. (NC Bar No. 37143) Stuart L. Pratt (NC Bar No. 43139) ROBINSON, BRADSHAW & HINSON, P.A. 101 North Tryon Street, Suite 1900 Charlotte, North Carolina 28246 Telephone: (704) 377-2536 Facsimile: (704) 378-4000 E-mail: gcassada@robinsonbradshaw.com rworf@robinsonbradshaw.com spratt@robinsonbradshaw.com Gregory M. Gordon (TX Bar No. 08435300) JONES DAY 2727 North Harwood Street, Suite 500 Dallas, Texas 75201 Telephone: (214) 220-3939 Facsimile: (214) 969-5100 E-mail: gmgordon@jonesday.com (Admitted pro hac vice) Jeffrey B. Ellman (GA Bar No. 141828) JONES DAY 1420 Peachtree Street, N.E., Suite 800 Atlanta, Georgia 30309 Telephone: (404) 581-3939 Facsimile: (404) 581-8330 E-mail: jbellman@jonesday.com (Admitted pro hac vice) ATTORNEYS FOR DEBTOR AND DEBTOR IN POSSESSION

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