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Full title: Order authorizing the transition and assignment of the estate's interests in the Talc litigation to ROBINSON CALCAGNIE, INC., free and clear of liens, claims and interests pursuant to 11 U.S.C. § 363 (BNC-PDF) (Related Doc # 313 ) Signed on 5/25/2021 (Fortier, Stacey) (Entered: 05/25/2021)

Document posted on May 24, 2021 in the bankruptcy, 2 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

r t i e r DEPUTY CLERK 7 Attorneys for Elissa D. Miller, Chapter 7 Trustee 8 9 UNITED STATES BANKRUPTCY COURT 10 CENTRAL DISTRICT OF CALIFORNIA 11 M5- TALC LITIGATION TO ROBINSON a 4 ost4 4 16 CALCAGNIE, INC., FREE AND CLEAR C71 OF LIENS, CLAIMS AND INTERESTS On April 20, 2021, Elissa D. Miller, the chapter 7 trustee for the bankruptcy estate 21 of Girardi Keese (the "Trustee"), filed and served the Motion for Order Authorizing the 22 Transition and Assignment of the Estate's Interests in the Talc Litigation to Robinson 23 Having 26 reviewed the Notice and Motion and papers filed in support thereof, service being proper27 and good cause appearing therefrom, 1 1. The assignment and transfer of any rights or payment to property as 10 contemplated in the Agreement are to be free and clear of all claims, liens, 11 encumbrances, or other interests against the Debtor pursuant to 11 U.S.C. § 363(f); 2 0 0 92626 4 445-1 1123 Debtor7

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1 SMILEY WANG-EKVALL, LLP Lei Lei Wang Ekvall, State Bar No. 163047 2 lekvall@swelawfirm.com FILED & ENTERED Philip E. Strok, State Bar No. 169296 3 pstrok@swelawfirm.com Timothy W. Evanston, State Bar No. 319342 MAY 25 2021 4 tevanston@swelawfirm.com 3200 Park Center Drive, Suite 250 5 Costa Mesa, California 92626 CLERK U.S. BANKRUPTCY COURT Telephone: 714 445-1000 Central District of California 6 Facsimile: 714 445-1002 BY f o r t i e r DEPUTY CLERK 7 Attorneys for Elissa D. Miller, Chapter 7 Trustee 8 9 UNITED STATES BANKRUPTCY COURT 10 CENTRAL DISTRICT OF CALIFORNIA 11 LOS ANGELES DIVISION 2 0 0 92626 4 445-1 1123 I GnI RreA RDI KEESE, C Cahsaep tNero 7. 2:20-bk-21022-BR ornia ax 71 a, Calif00 • F 14 OTRRADNESRI TAIUOTNH AONRDIZ AINSGS ITGHNEM ENT OF s0 15 THE ESTATE'S INTERESTS IN THE e1 M5- TALC LITIGATION TO ROBINSON a 4 ost4 4 16 CALCAGNIE, INC., FREE AND CLEAR C71 OF LIENS, CLAIMS AND INTERESTS el 17 Debtor. PURSUANT TO 11 U.S.C. § 363 T 18 [No Hearing Required Pursuant to Local Bankruptcy Rule 9013-1(o)] 19 20 On April 20, 2021, Elissa D. Miller, the chapter 7 trustee for the bankruptcy estate 21 of Girardi Keese (the "Trustee"), filed and served the Motion for Order Authorizing the 22 Transition and Assignment of the Estate's Interests in the Talc Litigation to Robinson 23 Calcagnie Inc. Free and Clear of Liens, Claims and Interests Pursuant to 11 U.S.C. § 3624 [Docket No. 313] (the "Motion") and notice of the Motion [Docket No. 314] ("Notice"). No25 opposition to or request for hearing on the Notice or Motion was filed or served. Having 26 reviewed the Notice and Motion and papers filed in support thereof, service being proper27 and good cause appearing therefrom,

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1 1. The Motion is granted; 2 2. The Trustee is authorized to enter into the amended agreement (the 3 "Agreement")1 filed April 26, 2021, as Docket No. 317; 4 3. The terms of the Agreement are approved; 5 4. The Trustee is authorized to execute any documents or take any actions 6 reasonably necessary to effectuate the terms of the Agreement; 7 5. The transaction as contemplated in the Agreement pursuant to 11 U.S.C. 8 § 363(b) is approved; 9 6. The assignment and transfer of any rights or payment to property as 10 contemplated in the Agreement are to be free and clear of all claims, liens, 11 encumbrances, or other interests against the Debtor pursuant to 11 U.S.C. § 363(f); 2 0 0 92626 4 445-1 1123 Debtor7 w. ill attAacnhy oanslsye trote tdh ec lEaismtast,e l ieAnllso,c eantiocunm abnrda nnocet sto, othr eo tRhCer Ainlltoecraetsiotsn a; g ainst the ornia ax 71 a, Calif00 • F 14 8. RC is not assuming any liabilities of the Estate, the Debtor, or any partnerss0 15 members, attorneys, insiders, affiliates, or employees thereof, whether under contract, e1 M5- a 4 ost4 4 16 tort, or otherwise; C1 7 el 17 9. The Federal Rule of Evidence 502(d) protections for attorney-client privilegT 18 and work-product set forth in the Agreement shall apply; and 19 10. The 14-day period under FRBP 6004(h) is waived. 20 ### 21 22 23 Date: May 25, 2021 24 25 26 27 1 Unless otherwise noted, capitalized terms shall have the same meaning as in the Motion.

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