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Full title: Withdraw Document (Filed By RLI Insurance Company ).(Related document(s):244 Response/Objection) (Ord, Jonathan) (Entered: 05/24/2021)

Document posted on May 23, 2021 in the bankruptcy, 2 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

215, 244] RLI Insurance Company (“RLI”), by and through undersigned counsel, hereby withdraws its Limited Objection (the “Objection”) with respect to the Debtors’ Motion for Entry of an Order: (I)Approving Settlement Between the Debtors and Castex Energy, Inc.; (II)Assignment of Executory Contracts [Docket No. 215] (the “Motion”).2 RLI and Castex Energy, Inc. (“CEI”) have reached an agreement to resolve RLI’s Objection to the Motion and preserve RLI’s potential rights with regard to the INC and INC Indemnification Claim addressed in the Motion.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). Counsel for RLI Insurance Company CERTIFICATE OF SERVICE I hereby certify that on this 24th day of May 2021, a true and correct copy of the foregoing Withdrawal of Objection of RLI Insurance Company was sent via ECF Noticing to all parties registered to receive CM/ECF Notices in these Chapter 11 cases.

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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, LLC, et al., ) Case No. 21-30710 (MI) ) ) (Jointly Administered) Debtors.1 ) ) RLI INSURANCE COMPANY’S WITHDRAWAL OF OBJECTION TO DEBTORS’ PROPOSED SETTLEMENT WITH CASTEX ENERGY, INC. [Relates to R. Doc. 215, 244] RLI Insurance Company (“RLI”), by and through undersigned counsel, hereby withdraws its Limited Objection (the “Objection”) with respect to the Debtors’ Motion for Entry of an Order: (I) Approving Settlement Between the Debtors and Castex Energy, Inc.; (II) Authorizing the Sale of Transferred Interests; and (III) Authorizing Assumption and Assignment of Executory Contracts [Docket No. 215] (the “Motion”).2 RLI and Castex Energy, Inc. (“CEI”) have reached an agreement to resolve RLI’s Objection to the Motion and preserve RLI’s potential rights with regard to the INC and INC Indemnification Claim addressed in the Motion. Accordingly, RLI hereby withdraws its Objection to the Motion. 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. 2 Capitalized terms not otherwise defined herein have the same meanings ascribed to them in Debtors’ Motion.

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Respectfully submitted, KREBS FARLEY & DRY, PLLC Ryan D. Dry – (TX Bar No. 24050532) (SDTX Bar No. 618363) 909 18th Street Plano, TX 75074 Telephone: (972) 737-2530 Facsimile: (972) 737-2543 rdry@krebsfarley.com and /s/ Jonathan S. Ord KREBS FARLEY & DRY, PLLC Elliot Scharfenberg (pro hac vice) (LA Bar No. 35304) Jonathan S. Ord (pro hac vice) (LA Bar No. 35274) 400 Poydras Street, Suite 2500 New Orleans, LA 70130 Telephone: (504) 299-3570 Facsimile: (504) 299-3582 escharfenberg@krebsfarley.com jord@krebsfarley.com Counsel for RLI Insurance Company CERTIFICATE OF SERVICE I hereby certify that on this 24th day of May 2021, a true and correct copy of the foregoing Withdrawal of Objection of RLI Insurance Company was sent via ECF Noticing to all parties registered to receive CM/ECF Notices in these Chapter 11 cases. /s/ Jonathan S. Ord Jonathan S. Ord

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