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Full title: Response Filed by Patrick H. Autry for Creditors Aurora Resources Corporation, Dewbre Petroleum Corporation, Jerry Dewbre, Trustee, Magnum Producing LP, Progas Operating, Inc., Texron Operating LLC (Autry, Patrick) (related document(s): 1062 Notice of Filing of Supplement to Debtor's Third Amended Plan of Liquidation filed by David W. Parham for Debtor First River Energy, LLC. (Attachments: # 1 Appendix Service List # 2 Exhibit A - Schedule of Debtors Proposed Allowed 503(b)(9) Claims (Class 3) # 3 Exhibit B - Schedule of Debtors Proposed Non-Oil General Unsecured Claims (Class 5) # 4 Exhibit C - Schedule of Debtors Proposed Priority Tax Claims and Secured Tax Claims (Class 1))(Parham, David) (Related Document(s): 1026 Third Amended Chapter 11 Plan filed by David W. Parham for Debtor First River Energy, LLC. (Parham, David) (related document(s): 1025 Third Amended Disclosure Statement filed by David W. Parham for Debtor First River Energy, LLC. (Attachments: # 1 Appendix Third Amended Plan of Liquidation)(Parham, David) (related document(s): 1003 Second Amended Disclosure Statement filed by David W. Parham for Debtor First River Energy, LLC. (Attachments: # 1 Exhibit Plan of Liquidation)(Parham, David) (related document(s): 319 Disclosure Statement filed by David W. Parham for Debtor First River Energy, LLC. (Attachments: # 1 Exhibit # 2 Exhibit), 320 Chapter 11 Plan filed by David W. Parham for Debtor First River Energy, LLC.), 1014 Second Amended Chapter 11 Plan filed by David W. Parham for Debtor First River Energy, LLC. (Parham, David) (related document(s): 1003 Second Amended Disclosure Statement filed by David W. Parham for Debtor First River Energy, LLC. (Attachments: # 1 Exhibit Plan of Liquidation)(Parham, David) (related document(s): 319 Disclosure Statement filed by David W. Parham for Debtor First River Energy, LLC. (Attachments: # 1 Exhibit # 2 Exhibit), 320 Chapter 11 Plan filed by David W. Parham for Debtor First River Energy, LLC.))))))

Document posted on Aug 16, 2021 in the bankruptcy, 2 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

§ § RESPONSE OF CREDITORS AURORA RESOURCES CORPORATION, DEWBRE PETROLEUM CORPORATION, JERRY DEWBRE, IN HIS CAPACITYA GARGOTTA, UNITED STATES BANKRUPTCY JUDGE Aurora Resources Corporation, Dewbre Petroleum Corporation, Jerry Dewbre, in his capacity as Trustee of The DCRC State Trust, Magnum Producing LLP, Progas Operating, Inc., and Texron Operating LLC respond as follows: 1. Respondents filed claims entitled to priority under section 503(b)(9) of the Bankruptcy Code in amounts which differ from those scheduled by the Debtor in the following particulars: The slight variations in amounts between the filed claims and the Debtor’s schedules are likely largely attributable to the inclusion of Texas severance tax amounts in the filed claims.Lockhill Crossing, Suite 206 4630 N. Loop 1604 West San Antonio, Texas 78249

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UNITED STATES BANKRUPTCY COURT WESTERN DISTRICT OF TEXAS SAN ANTONIO DIVISION In re: § CHAPTER 11 § FIRST RIVER ENERGY, LLC, § CASE NO. 18-50085-cag Debtor. § § RESPONSE OF CREDITORS AURORA RESOURCES CORPORATION, DEWBRE PETROLEUM CORPORATION, JERRY DEWBRE, IN HIS CAPACITY AS TRUSTEE OF THE DCRC STATE TRUST, MAGNUM PRODUCING, LLP, PROGAS OPERATING, INC, AND TEXRON OPERATING LLC TO DEBTOR’S SCHEDULE OF PROPOSED ALLOWED 503(b)(9) CLAIMS (ECF No. 1062, Exhibit A) TO THE HONORABLE CRAIG A GARGOTTA, UNITED STATES BANKRUPTCY JUDGE Aurora Resources Corporation, Dewbre Petroleum Corporation, Jerry Dewbre, in his capacity as Trustee of The DCRC State Trust, Magnum Producing LLP, Progas Operating, Inc., and Texron Operating LLC respond as follows: 1. Respondents filed claims entitled to priority under section 503(b)(9) of the Bankruptcy Code in amounts which differ from those scheduled by the Debtor in the following particulars: Name of Creditor Claim Amount Debtor’s Schedule Aurora Resources Corporation $35,048.32 $33,249.81 Dewbre Petroleum $102,170.30 $97,463.91 The DCRC State Trust $27,938.47 $24,2889.68 Magnum Producing $61,406.58 $58,528.86 [Ahuja Holdings] Progas Operating $9,859.19 $7,051.34 Texron Operating $52,231.13 $49,823.01 2. Magnum Producing and Ahuja Holdings are affiliated entities. The misnomer is of no consequence for these purposes.

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3. The slight variations in amounts between the filed claims and the Debtor’s schedules are likely largely attributable to the inclusion of Texas severance tax amounts in the filed claims. Respondents acknowledge that the Debtor has paid the severance tax owed the state of Texas. 4. Respondents anticipate that these differences will be resolved without further court intervention. Out of an abundance of caution, however, Respondents reserve their rights. Respectfully submitted on August 17, 2021. BRANSCOMB PLLC Lockhill Crossing, Suite 206 4630 N. Loop 1604 West San Antonio, Texas 78249 Telephone: (210) 598-5401 Facsimile: (210) 598 5405 Email: pautry@branscomblaw.com By: /s/ Patrick H. Autry Patrick H. Autry, State Bar No. 01447600 ATTORNEYS FOR AURORA RESOURCES CORPORATION, DEWBRE PETROLEUM CORPORATION, JERRY DEWBRE IN HIS CAPACITY AS TRUSTEE OF THE DCRC STATE TRUST, MAGNUM PRODUCING LP, PROGAS OPERATING, INC., and TEXRON OPERATING LLC CERTIFICATE OF SERVICE The undersigned certifies that a true copy of the foregoing Response was served by email this 17th day of August, 2021 upon the following: David Parham david.parham@akerman.com Esther McKean Esther.mckean@akerman.com Akerman LLP 2001 Ross Avenue, Suite 3600 Dallas, TX 75201 /s/ Patrick H. Autry Patrick H. Autry

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