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Full title: Notice of Appearance and Request for Notice Filed by Edward L Ripley Filed by on behalf of CNOOC Petroleum U.S.A. Inc. (Ripley, Edward) (Entered: 04/21/2021)

Document posted on Apr 20, 2021 in the bankruptcy, 3 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

,1 § § Debtors § NOTICE OF APPEARANCE, REQUEST FOR ALL NOTICES, AND DEMAND FOR SERVICE OF ALL PLEADINGS AND FILINGS AND SUBSTITUTION OF COUNSEL PLEASE TAKE NOTICE that the undersigned hereby enters an appearance on behalf of CNOOC Petroleum U.S.A. Inc., and its affiliates, (collectively “CNOOC”), creditor and party in interest in the above styled and numbered Chapter 11bankruptcy case, as attorneys for such party, in substitution of Peter D’Apice and Stutzman, Bromberg, Esserman & Plifka, P.C., and hereby requests notice of all hearings and conferences in such case and makes demand for service of copies all pleadings, filings, notices, and other actions and papers pursuant to Fed.The Debtors in these chapter 11 cases, along with the last four digits of each Debtors’ federal tax identification number, as applicable, are: Castex Energy 2005 Holdco, LLC (6832); Castex Energy 2005, LLC (6832); Castex Energy Partners, LLC (6832); and Castex Offshore, Inc. (8432). PLEASE NOTE FURTHER that the foregoing request and demand includes not only the notices, pleadings, filings, and papers referred to in the above-referenced Bankruptcy Rules, but also includes, without limitation, the Debtors’ schedules and statements and all supplements thereto, and any and all plans, letters, correspondence, applications, motions, complaints, objections, claims, demands, hearing, notices, or requests, whether formal or informal, whether oral or in writing, which may be filed, submitted, transmitted, or conveyed to the Bankruptcy Clerk, Bankruptcy Court, or This Notice of Appearance and Request for Notice and Papers shall not be deemed or construed to be a waiver or consent by CNOOC including, without limitation, to (i) have final orders in non-core matters entered only after de novo review by a higher court, (ii) trial by jury in any proceeding so triable in this case, or any case, controversy, or adversary proceeding related to this case, (iii) have the reference withdrawn in any matter subject to mandatory or discretionary withdrawal, or (iv) any other rights, claims, actions, defenses, setoffs, or recoupments to which CNOOC may be entitled in law or equity, all of which rights, claims, actions, defenses, setoffs, and recoupments are expressly reserved. Dated: April 21, 2021 Respectfully submitted, ANDREWS MYERS P.C. /s / Edward L. Ripley Edward L. Ripley SBN: 16935950

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION IN RE: § Chapter 11 § CASTEX ENERGY 2005 HOLDCO, § CASE NO. 21-30710 (MI) LLC, et al.,1 § § Debtors § NOTICE OF APPEARANCE, REQUEST FOR ALL NOTICES, AND DEMAND FOR SERVICE OF ALL PLEADINGS AND FILINGS AND SUBSTITUTION OF COUNSEL PLEASE TAKE NOTICE that the undersigned hereby enters an appearance on behalf of CNOOC Petroleum U.S.A. Inc., and its affiliates, (collectively “CNOOC”), creditor and party in interest in the above styled and numbered Chapter 11bankruptcy case, as attorneys for such party, in substitution of Peter D’Apice and Stutzman, Bromberg, Esserman & Plifka, P.C., and hereby requests notice of all hearings and conferences in such case and makes demand for service of copies all pleadings, filings, notices, and other actions and papers pursuant to Fed. R. Bankr. P. 2002 and 9010(b), and Bankruptcy Local Rule 2002. All such notices should be addressed as follows: Edward L. Ripley T. Josh Judd Patrick Kelly Andrews Myers, P.C. 1885 Saint James Place, 15th Floor Houston, Texas 77056 713-850-4227 – Telephone 832-786-4877– Facsimile eripley@andrewsmyers.com jjudd@andrewsmyers.com pkelly@andrewsmyers.com 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtors’ federal tax identification number, as applicable, are: Castex Energy 2005 Holdco, LLC (6832); Castex Energy 2005, LLC (6832); Castex Energy Partners, LLC (6832); and Castex Offshore, Inc. (8432). The Debtors’ mailing address is One Memorial City Plaza, 800 Gessner Rd., Suite 925, Houston, Texas 77024.

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PLEASE NOTE FURTHER that the foregoing request and demand includes not only the notices, pleadings, filings, and papers referred to in the above-referenced Bankruptcy Rules, but also includes, without limitation, the Debtors’ schedules and statements and all supplements thereto, and any and all plans, letters, correspondence, applications, motions, complaints, objections, claims, demands, hearing, notices, or requests, whether formal or informal, whether oral or in writing, which may be filed, submitted, transmitted, or conveyed to the Bankruptcy Clerk, Bankruptcy Court, or Bankruptcy Judge (as such terms are used and defined in Bankruptcy Rule 9001) in connection with this bankruptcy case and any proceedings related thereto or arising therefrom. This Notice of Appearance and Request for Notice and Papers shall not be deemed or construed to be a waiver or consent by CNOOC including, without limitation, to (i) have final orders in non-core matters entered only after de novo review by a higher court, (ii) trial by jury in any proceeding so triable in this case, or any case, controversy, or adversary proceeding related to this case, (iii) have the reference withdrawn in any matter subject to mandatory or discretionary withdrawal, or (iv) any other rights, claims, actions, defenses, setoffs, or recoupments to which CNOOC may be entitled in law or equity, all of which rights, claims, actions, defenses, setoffs, and recoupments are expressly reserved.

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Dated: April 21, 2021 Respectfully submitted, ANDREWS MYERS P.C. /s / Edward L. Ripley Edward L. Ripley SBN: 16935950 T. Josh Judd SBN: 24036866 Patrick A. Kelly SBN: 24105273 1885 Saint James Place, 15th Floor Houston, TX 77056 Tel: 713-850-4200 Fax: 713-850-4211 eripley@andrewsmyers.com jjudd@andrewsmyers.com pkelly@andrewsmyers.com CERTIFICATE OF SERVICE I hereby certify that on April 21, 2021, a true and correct copy of the foregoing Notice of Appearance and Request for Service of Notices was served via the Court’s Electronic Notification System on all parties entitled to such notice. By: /s/ Edward L. Ripley Edward L. Ripley

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