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Full title: Notice of Opportunity for Hearing. If a response or objection is filed DUE:August 12, 2021 a hearing will be held on DATE:August 19, 2021, TIME: 9:30 am, LOCATION: Courtoom 2A (RE: related document(s)1906 Application for Compensation filed by Interested Party Sander Esserman, 1907 Application for Compensation filed by Interested Party Sander Esserman, 1908 Application for Compensation filed by Interested Party Sander Esserman, 1909 Application for Compensation filed by Interested Party Sander Esserman, 1911 Application for Compensation filed by Creditor Committee The Official Committee of Asbestos Claimants of Bestwall, LLC, 1912 Application for Compensation filed by Creditor Committee The Official Committee of Asbestos Claimants of Bestwall, LLC, 1913 Application for Compensation filed by Creditor Committee The Official Committee of Asbestos Claimants of Bestwall, LLC, 1917 Application for Compensation filed by Debtor Bestwall LLC, 1919 Application for Compensation filed by Debtor Bestwall LLC, 1920 Application for Compensation filed by Debtor Bestwall LLC, 1921 Application for Compensation filed by Debtor Bestwall LLC) filed by Garland S. Cassada on behalf of Bestwall LLC. (Cassada, Garland) (Entered: 07/29/2021)

Document posted on Jul 28, 2021 in the bankruptcy, 4 pages and 0 tables.

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Esserman for Allowance of Compensation and Reimbursement of Expenses for Professional Services Rendered as Legal Representative for Future Claimants for the Period From March 1, 2021 Through June 30, 2021 [Dkt. 1906]; b) Eleventh Interim Application of Young Conaway Stargatt & Taylor, LLP for Allowance of Compensation and Reimbursement of Expenses for Professional Services Rendered as Counsel to Sander L. Esserman, the Legal Representative for Future Claimants, for the Period From March 1, 2021 Through June 30, 2021Tenth Interim Application of Ankura Consulting Group, LLC for Allowance of Compensation and Reimbursement of Expenses for Professional Services Rendered as Claims Evaluation Consultants to Sander L. Esserman, Legal Representative for Future Claimants for the Period From March 1, 2021 Through June 30, 2021Law for Allowance of Compensation and Reimbursement of Expenses for Professional Services Rendered as Local Co-Counsel for the Official Committee of Asbestos Claimants of Bestwall LLC for the Period From March 1, 2021 Through June 30, 2021 Serve a copy of such response, so that it is actually received on or before the Response Deadline, on (i) the undersigned counsel for the Debtor; (ii) all of the Notice Parties, as defined in paragraph 2(a) of the Order Establishing Procedures for Interim Compensation and Reimbursement of Expenses of Retained Professionals [Dkt. 132] (the “Interim Compensation Order”), as modified with respect to the Notice Parties by the Amended Order Granting Retention of Robinson & Cole LLP as Substitute Counsel to the Official Committee of Asbestos Claimants [Dkt. 803] and the Ex Parte Order Authorizing the Retention and Employment of Alexander Ricks PLLC as Local Co-Counsel for the Future Claimants’ Representative [Dkt. 1625]; (iii) the professional whose Interim Fee Application is the subject of the response; and (iv) any other parties required to be served by law or other orders of the Bankruptcy Court.

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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 AND OPPORTUNITY FOR HEARING ON INTERIM FEE APPLICATIONS (No Protest Notice – No Hearing Will Be Held Unless a Request for Hearing Is Filed) PLEASE TAKE NOTICE OF THE FOLLOWING: 1. The following interim applications for allowance of compensation for services rendered and for reimbursement of expenses (collectively, the “Interim Fee Applications”) have been filed: a) Eleventh Interim Application of Sander L. Esserman for Allowance of Compensation and Reimbursement of Expenses for Professional Services Rendered as Legal Representative for Future Claimants for the Period From March 1, 2021 Through June 30, 2021 [Dkt. 1906]; b) Eleventh Interim Application of Young Conaway Stargatt & Taylor, LLP for Allowance of Compensation and Reimbursement of Expenses for Professional Services Rendered as Counsel to Sander L. Esserman, the Legal Representative for Future Claimants, for the Period From March 1, 2021 Through June 30, 2021 [Dkt. 1907]; c) Tenth Interim Application of Ankura Consulting Group, LLC for Allowance of Compensation and Reimbursement of Expenses for Professional Services Rendered as Claims Evaluation Consultants to Sander L. Esserman, Legal Representative for Future Claimants for the Period From March 1, 2021 Through June 30, 2021 [Dkt. 1908]; d) Second Interim Application of Alexander Ricks PLLC for Allowance of Compensation and Reimbursement of Expenses for Professional Services Rendered 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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as Counsel to Sander L. Esserman, Legal Representative for Future Asbestos Claimants, for the Period of March 1, 2021 Through June 30, 2021 [Dkt. 1909]; e) Eighth Interim Fee Application of Robinson & Cole LLP, as Counsel to the Official Committee of Asbestos Claimants of Bestwall LLC, for Payment of Interim Compensation and Reimbursement of Expenses Incurred for the Period March 1, 2021 Through June 30, 2021 [Dkt. 1912]; f) Eleventh Interim Fee Application of Hamilton Stephens Steele & Martin, PLLC and JD Thompson Law for Allowance of Compensation and Reimbursement of Expenses for Professional Services Rendered as Local Co-Counsel for the Official Committee of Asbestos Claimants of Bestwall LLC for the Period From March 1, 2021 Through June 30, 2021 [Dkt. 1911]; g) Tenth Interim Fee Application of FTI Consulting, Inc., as Financial Advisor to the Committee of Asbestos Claimants of Bestwall LLC and the Future Claimants’ Representative, for Payment of Interim Compensation and Reimbursement of Expenses Incurred for the Period March 1, 2021 Through June 30, 2021 [Dkt. 1913]; h) Eleventh Interim Application of Jones Day for Allowance of Compensation for Services Rendered as Counsel to the Debtor for the Period From March 1, 2021 Through June 30, 2021 [Dkt. 1917]; i) Eleventh Interim Application of Robinson, Bradshaw & Hinson, P.A. for Allowance of Compensation and Reimbursement of Expenses for Professional Services Rendered as Special Counsel for Asbestos Claims Estimation Matters and Local Bankruptcy Counsel for the Debtor for the Period From March 1, 2021 Through June 30, 2021 [Dkt. 1919]; j) Eleventh Interim Application of Schachter Harris, LLP for Allowance of Compensation and Reimbursement of Expenses for Professional Services Rendered as Special Litigation Counsel for Debtor for the Period From March 1, 2021 Through June 30, 2021 [Dkt. 1920]; and k) Eleventh Interim Application of Bates White LLC for Allowance of Compensation for Services Rendered and for Reimbursement of Expenses as Asbestos Consultants to the Debtor for the Period From March 1, 2021 Through June 30, 2021 [Dkt. 1921]. 2. Your rights may be affected. You should read this Notice carefully and discuss it with your attorney. If you do not have an attorney, you may wish to consult one. 3. IF YOU DO NOT WANT THE BANKRUPTCY COURT TO GRANT THE RELIEF REQUESTED IN AN INTERIM FEE APPLICATION, OR IF YOU WANT THE COURT TO CONSIDER YOUR VIEWS ON ANY OF THE INTERIM FEE APPLICATIONS, THEN YOU MUST: - 2 -

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(a) i. On or before August 12, 2021 (the “Response Deadline”), file a written response with the United States Bankruptcy Court for the Western District of North Carolina (the “Bankruptcy Court”) at: Clerk, United States Bankruptcy Court 401 West Trade Street, Suite 2500 Charlotte, North Carolina 28202 ii. If you have your attorney file a written response on your behalf, then the response should be filed with the Bankruptcy Court by electronic means through the Bankruptcy Court’s website, www.ncwb.uscourts.gov, under the Debtor’s name and case number, as listed above, by the Response Deadline. (b) Serve a copy of such response, so that it is actually received on or before the Response Deadline, on (i) the undersigned counsel for the Debtor; (ii) all of the Notice Parties, as defined in paragraph 2(a) of the Order Establishing Procedures for Interim Compensation and Reimbursement of Expenses of Retained Professionals [Dkt. 132] (the “Interim Compensation Order”), as modified with respect to the Notice Parties by the Amended Order Granting Retention of Robinson & Cole LLP as Substitute Counsel to the Official Committee of Asbestos Claimants [Dkt. 803] and the Ex Parte Order Authorizing the Retention and Employment of Alexander Ricks PLLC as Local Co-Counsel for the Future Claimants’ Representative [Dkt. 1625]; (iii) the professional whose Interim Fee Application is the subject of the response; and (iv) any other parties required to be served by law or other orders of the Bankruptcy Court. (c) Attend the hearing (the “Hearing”) scheduled for Thursday, August 19, 2021, at 9:30 a.m. (prevailing Eastern Time), or as soon thereafter as can be heard, before the Honorable Chief Judge Laura T. Beyer at the United States Bankruptcy Court for the Western District of North Carolina, Charlotte Division, Courtroom 2-A, 401 West Trade Street, Charlotte, North Carolina 28202. 4. PLEASE TAKE FURTHER NOTICE THAT IF NO RESPONSES TO THE INTERIM FEE APPLICATIONS ARE TIMELY FILED, THE BANKRUPTCY COURT WILL RULE ON THE INTERIM FEE APPLICATIONS WITHOUT A HEARING. 5. You need not appear at the Hearing if you do not object to any of the relief requested in the Interim Fee Applications. 6. The Hearing may be continued or adjourned from time to time without further notice other than an announcement of the adjourned date or dates at the Hearing or at a later hearing. 7. Copies of the Interim Fee Applications and the Interim Compensation Order may be obtained (a) free of charge at the website dedicated to the Debtor’s chapter 11 case maintained by its claims and noticing agent, Donlin, Recano & Company, Inc., available at www.donlinrecano.com/bestwall, under the tab labeled “Court Docket;” (b) for a nominal fee at the website of the Bankruptcy Court, www.ncwb.uscourts.gov, under the Debtor’s name and case number, as listed above; or (c) by written request directed to the undersigned counsel. - 3 -

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Dated: July 29, 2021 Respectfully submitted, Charlotte, North Carolina /s/ Garland S. Cassada Garland S. Cassada (NC Bar No. 12352) David M. Schilli (NC Bar No. 17989) Andrew W.J. Tarr (NC Bar No. 31827) 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 dschilli@robinsonbradshaw.com atarr@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 1221 Peachtree Street, N.E., Suite 400 Atlanta, Georgia 30361 Telephone: (404) 581-3939 Facsimile: (404) 581-8330 E-mail: jbellman@jonesday.com (Admitted pro hac vice) ATTORNEYS FOR DEBTOR AND DEBTOR IN POSSESSION - 4 -

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