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Full title: Certificate of No Objection (Filed By Castex Liquidating Trust & Post-Effective Date Debtors ).(Related document(s):340 Generic Motion) (Attachments: # 1 Exhibit A # 2 Proposed Order # 3 Proposed Order Redline) (Stewart, Paul) (Entered: 09/09/2021)

Document posted on Sep 8, 2021 in the bankruptcy, 4 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

On July 27, 2021, this Court entered an Order requiring attestation as to service upon the contract counterparties affected by the Motion. On August 17, 2021, the PEDD’s re-served the Motion – this time including the contact counterparties - and filed a Notice of Filing of Debtors’ Motion in Aid of Confirmation for Entry of an Order (I) Authorizing the Debtors to Assume and Assign Certain Leases and Executory Contracts to Talos Third Coast LLC and (II)Responses, if any, to the PEDD’s notice of the Motion were required to have been filed with the Court and served no later than September 7, 2021 (the “Response Deadline”).In accordance with paragraph 43 of the Procedures for Complex Cases in the Southern District of Texas, the undersigned has attached both (a) a cumulative redline of the revised form of Order against the Order filed with the Motion; and (b) a clean copy of the proposed form of Order. I HEREBY CERTIFY that a true and correct copy of the above and foregoing pleading was caused to be served upon all parties that are registered to receive electronic service through the court’s ECF notice system in the above case, as well as the below-listed contract counterparties, via First-Class United States mail, postage prepaid on this 9th day of September, 2021.

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UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION In re: § § Case No. 21-30710 CASTEX ENERGY 2005 HOLDCO, § LLC, et al., § Chapter 11 § Debtors. § (Jointly Administered) CERTIFICATE OF NO OBJECTION TO DEBTORS’ MOTION IN AID OF CONFIRMATION FOR ENTRY OF AN ORDER (I) AUTHORIZING THE DEBTORS TO ASSUME AND ASSIGN CERTAIN LEASES AND EXECUTORY CONTRACTS TO TALOS THIRD COAST LLC AND (II) GRANTING RELATED RELIEF (Related Docket No. 340) The undersigned hereby certifies as follows: 1. On June 30, 2021, the Debtor’s Motion in Aid of Consummation for entry of an Order (I) Authorizing the Debtors to Assume and Assign Certain Leases and Executory Contracts to Talos Third Coast LLC and (II) Granting Related Relief [Doc. No. 340] (the “Motion”) was filed with the Court. 2. On July 26, 2021, the Post-Effective Date Debtors (the “PEDD’s”) filed their Certification of No Objection [Doc. No. 343] certifying that no objection had been filed to the Motion. 3. On July 27, 2021, this Court entered an Order requiring attestation as to service upon the contract counterparties affected by the Motion. 4. On August 17, 2021, the PEDD’s re-served the Motion – this time including the contact counterparties - and filed a Notice of Filing of Debtors’ Motion in Aid of Confirmation for

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Entry of an Order (I) Authorizing the Debtors to Assume and Assign Certain Leases and Executory Contracts to Talos Third Coast LLC and (II) Granting Related Relief with Certificate of Service [Doc. No. 346]. For the convenience of the Court, such pleading is attached to this certificate as Exhibit “A”. 5. Responses, if any, to the PEDD’s notice of the Motion were required to have been filed with the Court and served no later than September 7, 2021 (the “Response Deadline”). 6. While no formal objection has been filed, informal discussions with Chevron and the United States Department of the Interior have resulted in the attached revised order. 7. Counsel to assignee Talos Third Coast LLC, the United States Department of the Interior, and Chevron have been provided a copy of this Certificate prior to its filing and consent to entry of the attached proposed order. 8. In accordance with paragraph 41 of the Procedures for Complex Cases in the Southern District of Texas, the undersigned hereby certifies that more than twenty-four (24) hours have passed since the Response Deadline and no responsive pleadings to the Objection have appeared on the Court’s docket in the above-captioned chapter 11 cases or were served upon the undersigned counsel. Accordingly, the undersigned respectfully requests that the revised form of Order attached hereto granting the Motion be entered at the earliest convenience of the Court. 9. In accordance with paragraph 43 of the Procedures for Complex Cases in the Southern District of Texas, the undersigned has attached both (a) a cumulative redline of the revised form of Order against the Order filed with the Motion; and (b) a clean copy of the proposed form of Order. [Pleading continues on following page.]

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Dated: September 9, 2021 Respectfully Submitted, STEWART ROBBINS BROWN & ALTAZAN, LLC /s/ Paul Douglas Stewart, Jr. Paul Douglas Stewart, Jr. (La. Bar # 24661, admitted to SDTX) dstewart@stewartrobbins.com 301 Main Street, Suite 1640 Baton Rouge, LA 70801-0016 Telephone: (225) 231-9998 Facsimile: (225) 709-9467 Attorneys for Castex Liquidating Trust and Post-Effective Date Debtors CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the above and foregoing pleading was caused to be served upon all parties that are registered to receive electronic service through the court’s ECF notice system in the above case, as well as the below-listed contract counterparties, via First-Class United States mail, postage prepaid on this 9th day of September, 2021.
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Talos Third Coast, LLC
Paul E. Heath
Vinson & Elkins LLP
1001 Fannin St., Suite 2500
Houston, TX 77002
Talos Third Coast, LLC
Steve Zundell
Vinson & Elkins LLP
1114 Avenue of the Americas, 32nd Floor
New York, NY 10036-7708
RFP Offshore, LLC
Through its agent for service of process:
Vinay Vaidya
3803 Rosewater Court
Katy, TX 77494
Eni Petroleum US LLC and
Eni Operating Co., Inc.
Attn: Legal Department
1200 Smith St., Suite 1700
Houston, TX 77022
Eni Petroleum US LLC and
Eni Operating Co., Inc.
Through its agent for service of process:
Capital Corporate Services, Inc.
206 E. 9th Street, Suite 1300
Austin, TX 78701-4411
Chevron U.S.A. Inc.
Attn: Legal Department
100 Northpark Blvd.
Covington, LA 70433

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Table 1 on page 4. Back to List of Tables
Chevron U.S.A. Inc.
Through its agent for service of process:
Prentice-Hall Corp System, Inc.
211 E. 7th Street, Suite 620
Austin, TX 78701-3218
Petro Ventures, Inc.
Attn: Legal Department
202 Rue Iberville, Suite 500
New Orleans, LA 70508
Petro Ventures, Inc.
Attn: Legal Department
202 Rue Iberville, Suite 500
New Orleans, LA 70508
Petro Ventures, Inc.
Through its agent for service of process:
Samuel E. Masur
400 East Kaliste Saloom Rd., Suite 4200
Lafayette, LA 70508
Cox Operating, L.L.C.
Attn: Legal Department
1615 Poydras St., Suite 830
New Orleans, LA 70130
Cox Operating, L.L.C.
Through its agent for service of process:
CT Corporation System
1999 Bryan St., Ste. 900
Dallas, TX 75201-3136
Arena Offshore, LP and
Arena Energy, LP
Attn: Legal Department
2103 Research Forest Dr., Suite 400
The Woodlands, TX 77380
Arena Offshore, LP and
Arena Energy, LP
Through its agent for service of process:
CT Corporation System
1999 Bryan St., Ste. 900
Dallas, TX 75201-3136
Bennu Oil & Gas, LLC
1330 Post Oak Blvd., Suite 1600
Houston, TX 77056
Bennu Oil & Gas, LLC
Through its agent for service of process:
Corporation Service Company dba CSC -
Lawyers Incorporating Service Company
211 E. 7th Street, Suite 620
Austin, TX 78701-3218
Bennu Oil & Gas, LLC
John P. Melko
Foley & Lardner, LLP
1000 Louisiana, Suite 2000
Houston, TX 77002
The following party was served via electronic mail at the email addressed indicated on this 9th day of September 2021. Edward Ripley (counsel to Chevron) eripley@andrewsmyers.com /s/ Paul Douglas Stewart, Jr. Paul Douglas Stewart, Jr.

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