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Full title: Stipulation and Order Extending Claims Bar Date for Fieldwood Energy LLC and its Affiliates, Signed on 4/22/2021 (Related document(s):39 Order on Emergency Motion, Order on Motion To Set Last Day to File Proofs of Claim) (TylerLaws) (Entered: 04/23/2021)

Document posted on Apr 21, 2021 in the bankruptcy, 4 pages and 0 tables.

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WHEREAS, on February 28, 2021, the Debtors filed their Emergency Motion for Entry of an Order (I) Setting Bar Dates for Filing Proofs of Claim, Including Requests for Payment under 11 U.S.C. §§ 503(b)(1) and 503(b)(9), (II)The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s 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).WHEREAS, on March 2, 2021, the Court entered the Order (I) Setting Bar Dates for Filing Proofs of Claim, Including Requests for Payment under 11 U.S.C. §§ 503(b)(1) and 503(b)(9), (II)Establishing Amended Schedules Bar Date and Rejection Damages Bar Date, (III) Approving the Form and Manner for Filing Proofs of Claim, Including Section 503(b)(1)WHEREAS, Fieldwood has requested, and the Debtors have consented, to extend the Claims Bar Date for Fieldwood to file Proofs of Claim against the Debtors to April 23, 2021 at 5 p.m. CT (the “Extended Bar Date”).

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION ENTERED 04/23/2021 In re: § § Case No. 21-30710 CASTEX ENERGY 2005 HOLDCO, § LLC, et al., § Chapter 11 § Debtors.1 § (Jointly Administered) STIPULATION AND ORDER EXTENDING CLAIMS BAR DATE FOR FIELDWOOD ENERGY LLC AND ITS AFFILIATES This stipulation and order (the “Stipulation and Order”) is entered into by Castex Energy 2005 Holdco, LLC, et al., the above-captioned debtors and debtors in possession (collectively, the “Debtors”) and Fieldwood Energy LLC and its affiliates (collectively, “Fieldwood”, and collectively with the Debtors, the “Parties”). The Parties hereby stipulate and agree as follows: RECITALS A. WHEREAS, on February 26, 2021, the Debtors each filed with this Court a voluntary case under chapter 11 of the Bankruptcy Code. B. WHEREAS, on February 28, 2021, the Debtors filed their Emergency Motion for Entry of an Order (I) Setting Bar Dates for Filing Proofs of Claim, Including Requests for Payment under 11 U.S.C. §§ 503(b)(1) and 503(b)(9), (II) Establishing Amended Schedules Bar Date and Rejection Damages Bar Date, (III) Approving the Form and Manner for Filing 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s 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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Proofs of Claim, Including Section 503(b)(1) And 503(b)(9) Requests, (IV) Approving Notice of Bar Dates, and (V) Granting Related Relief (the “Motion”) (Docket No. 7).2 C. WHEREAS, on March 2, 2021, the Court entered the Order (I) Setting Bar Dates for Filing Proofs of Claim, Including Requests for Payment under 11 U.S.C. §§ 503(b)(1) and 503(b)(9), (II) Establishing Amended Schedules Bar Date and Rejection Damages Bar Date, (III) Approving the Form and Manner for Filing Proofs of Claim, Including Section 503(b)(1) And 503(b)(9) Requests, (IV) Approving Notice of Bar Dates, and (V) Granting Related Relief (Docket No. 39), which established April 21, 2021 at 5 p.m. CT as the Claims Bar Date. D. WHEREAS, Fieldwood has requested, and the Debtors have consented, to extend the Claims Bar Date for Fieldwood to file Proofs of Claim against the Debtors to April 23, 2021 at 5 p.m. CT (the “Extended Bar Date”). It is hereby ORDERED that: 1. Fieldwood’s Proofs of Claim shall be deemed timely filed against any of the Debtors provided that Fieldwood’s Proofs of Claim are filed no later than the Extended Bar Date. 2. This Stipulation and Order and the relief granted herein is without prejudice to the Parties’ rights, arguments, claims or defenses for all purposes. 3. Each of the Parties hereto represents and warrants: (a) it is duly authorized to enter into and be bound by this Stipulation and Order; and (b) this Stipulation and Order is duly executed and delivered and constitutes a valid and binding agreement in accordance with its terms. 2 Capitalized terms used herein but not otherwise defined shall having the meaning ascribed to such terms in the Motion.

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4. The terms and conditions of this Stipulation and Order shall be immediately effective and enforceable upon its entry by the Court. 5. The Court shall retain jurisdiction over all matters related to this Stipulation and Order. Dated: ___________________, 2021 Signed: AOpcrtoilb 2e2r ,1 270, 221018 ____________________________________ ______________________________________ Marvin Isgur Hon. Marvin Isgur United States Bankruptcy Judge United States Bankruptcy Judge

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IN WITNESS WHEREOF, this Stipulation and Order has been executed and delivered as of the day and year first below written. Dated: April 21, 2021 Dated: April 21, 2021 By: /s/ Alfredo Pérez By: /s/ Matthew S. Okin WEIL GOTSHAL & MANGES LLP OKIN ADAMS LLP Alfredo R. Pérez Matthew S. Okin Texas Bar No. 15776275 Texas Bar No. 100784695 700 Louisiana, Suite 1700 1113 Vine St., Suite 240 Houston, TX 77002 Houston, TX 77002 Tel: 713 546 5040 Tel: 713 228 4100 Fax: 713 224 9511 Fax: 888 865 2118 Email: alfredo.perez@weil.com Email: mokin@okinadams.com Attorney for Fieldwood Attorney for Debtors

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