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Full title: Exhibit(s) Carolina Sawmills, L.P.'s Exhibit List for the Hearing Scheduled to Occur on August 11, 2021 Filed by Carolina Sawmills, LP. (Hehn, Curtis) (Entered: 08/10/2021)

Document posted on Aug 9, 2021 in the bankruptcy, 7 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

No. 1: Motion of the Debtor Pursuant to Bankruptcy Rule 9019, Local Rule 9013-1 and 11 U.S.C. §§ 105(a) and 363(b), for Entry of an Order Authorizing and Approving that Certain Settlement Agreement By and Between Klausner Lumber Two LLC and Deloitte Financial Advisory GMBH (D.I. 851, filed 7/14/21); ● Carolina Sawmills, L.P.’s Limited Objection and Response to the Debtor’s Motions to Approve Settlement Agreements With: (I)No. 2: Motion of the Debtor Pursuant to Bankruptcy Rule 9019, Local Rule 9013-1 and 11 U.S.C. §§ 105(a) and 363(b), for Entry of an Order Authorizing and Approving that Certain Settlement Agreement By and Between Klausner Lumber Two LLC and Scharpenack GMBH (D.I. 853, filed 7/14/21; ADI 14, filed 7/14/21); ● Carolina Sawmills, L.P.’s Limited Objection and Response to the Debtor’s Motions to Approve Settlement Agreements With: (I)Two LLC (D.I. 868, filed 7/21/21); ● Carolina Sawmills, L.P.’s Objection to the Joint Motion of the Debtors and Official Committee of Unsecured Creditors Pursuant to Bankruptcy Rule 9019, Local Rule 9013-1 and 11 U.S.C. §§ 105(A) and 363(B) for Entry of an Order Authorizing the Approving That Certain Settlement Agreement By and Between Klausner Lumber One LLC and869] (D.I. 906, filed 8/4/21); ● Joinder of Mayr-Melnhof Holz Holding AG to Reply of Debtor and Official Committee of Unsecured Creditors in Support of the Joint Motion of Debtors and Official Committees of Unsecured Creditors for Entry of an Order Approving the Stipulation with Mayr-Melnhof Holz Holding AG and in Response to Objection of Carolina Sawmills, L.P.’s Thereto (D.I. 921, filed 8/9/21); ● Declaration of Richard Bernard in Support of Joint Motion of Debtors and Official Committees of Creditors for Entry of an Order Approving the Stipulation with Mayr-Melnhof Holz Holding AG (D.I. 873, filed 7/21/21); ● Joint Reply of Debtor and Official Committee of Unsecured Creditors in Support of the Joint Motion of Debtors and Official Committees of Unsecured Creditors for Entry of an Order Approving the Stipulation with Mayr-Melnhof Holz Holding AG (D.I. 916, filed 8/6/21); ● Joint Motion Pursuant to Section 105 of the Bankruptcy Code and Bankruptcy 3 Listed Under Agenda Item

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE _____________________________________ ) Chapter 11 In re: ) ) Case No. 20-11518 (KBO) Klausner Lumber Two LLC, ) ) Debtor. ) ) _____________________________________) CAROLINA SAWMILLS, L.P.’S EXHIBIT LIST FOR THE HEARING SCHEDULED TO OCCUR ON AUGUST 11, 2021 A. EXHIBITS ALREADY REFERENCED ON AGENDA FOR AUGUST 11TH HEARING Listed Under Agenda Item No. 1: Motion of the Debtor Pursuant to Bankruptcy Rule 9019, Local Rule 9013-1 and 11 U.S.C. §§ 105(a) and 363(b), for Entry of an Order Authorizing and Approving that Certain Settlement Agreement By and Between Klausner Lumber Two LLC and Deloitte Financial Advisory GMBH (D.I. 851, filed 7/14/21); ● Carolina Sawmills, L.P.’s Limited Objection and Response to the Debtor’s Motions to Approve Settlement Agreements With: (I) Scharpenack GMBH [Docket No. 853]; and (II) Deloitte Financial Advisory GMBH [Docket No. 851] (D.I. 885, filed 7/28/21); ● Objection to Debtor Klausner Lumber Two LLC to the Proof of Claim Filed by Deloitte Financial Advisory GMBH (D.I. 750, filed 5/3/21); ● Deloitte Financial Advisory GMBH’s Response to the Debtor’s Objection to the Proof of Claim Filed by Deloitte Financial Advisory GMBH (D.I. 795, filed 6/1/21); ● Debtor’s Reply in Support of Motions Pursuant to Bankruptcy Rule 9019, Local Rule 9013-1 and 11 U.S.C. §§ 105(A) and 363(B), for Entry of an Order Authorizing and Approving (A) That Certain Settlement Agreement By and Between Klausner Lumber Two LLC and Scharpenack GMBH and (B) That Certain Settlement Agreement By and Between Klausner Lumber Two LLC and Deloitte Financial Advisory GMBH (D.I. 915, filed 8/6/21); 1

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Listed Under Agenda Item No. 2: Motion of the Debtor Pursuant to Bankruptcy Rule 9019, Local Rule 9013-1 and 11 U.S.C. §§ 105(a) and 363(b), for Entry of an Order Authorizing and Approving that Certain Settlement Agreement By and Between Klausner Lumber Two LLC and Scharpenack GMBH (D.I. 853, filed 7/14/21; ADI 14, filed 7/14/21); ● Carolina Sawmills, L.P.’s Limited Objection and Response to the Debtor’s Motions to Approve Settlement Agreements With: (I) Scharpenack GMBH [Docket No. 853]; and (II) Deloitte Financial Advisory GMBH [Docket No. 851] (D.I. 885, filed 7/28/21); ● Complaint and Objection to Claim (D.I. 751, filed 5/3/2021); ● Carolina Sawmills, L.P.’s Objection to Claims ENC-12 and ECN-15 Filed by Scharpenack GMBH (D.I 829, filed 6/24/21); ● Scharpenack GMBH's Response to Carolina Sawmills, L.P.’s Objection to Claims ECN-12 and ECN-15 Filed by Scharpenack GMBH (D.I. 880, filed 7/26/21); ● Debtor’s Reply in Support of Motions Pursuant to Bankruptcy Rule 9019, Local Rule 9013-1 and 11 U.S.C. §§ 105(A) and 363(B), for Entry of an Order Authorizing and Approving (A) That Certain Settlement Agreement By and Between Klausner Lumber Two LLC and Scharpenack GMBH and (B) That Certain Settlement Agreement By and Between Klausner Lumber Two LLC and Deloitte Financial Advisory GMBH (D.I. 915, filed 8/6/21); Listed Under Agenda Item No. 3: Joint Motion of the Debtors and Official Committees of Unsecured Creditors Pursuant to Bankruptcy Rule 9019, Local Rule 9013-1 and 11 U.S.C. §§ 105(a) and 363(b) for Entry of an Order Authorizing and Approving that Certain Settlement Agreement By and Between Klausner Lumber One LLC and Klausner Lumber Two LLC (D.I. 868, filed 7/21/21); ● Carolina Sawmills, L.P.’s Objection to the Joint Motion of the Debtors and Official Committee of Unsecured Creditors Pursuant to Bankruptcy Rule 9019, Local Rule 9013-1 and 11 U.S.C. §§ 105(A) and 363(B) for Entry of an Order Authorizing the Approving That Certain Settlement Agreement By and Between Klausner Lumber One LLC and Klausner Lumber Two LLC [Docket No. 868] (D.I. 905, filed 8/4/21); ● Joint Reply in Support of Joint Motion of the Debtors and Official Committees of 2

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Unsecured Creditors Pursuant to Bankruptcy Rule 9019, Local Rule 9013-1 and 11 U.S.C. Sections 105(A) and 363(B), for Entry of an Order Authorizing and Approving that Certain Settlement Agreement By and Between Klausner Lumber One LLC and Klausner Lumber Two LLC (D.I. 917, filed 8/6/21); Listed Under Agenda Item No. 4: Joint Motion of Debtors and Official Committees of Unsecured Creditors for Entry of an Order Approving the Stipulation with Mayr-Melnhof Holz Holding AG (D.I. 869, filed 7/21/21); ● Carolina Sawmills, L.P’s Objection to the Joint Motion of Debtors and Official Committees of Unsecured Creditors for Entry of an Order Approving the Stipulation With Mayr-Melnhof Holz Holding AG [Docket No. 869] (D.I. 906, filed 8/4/21); ● Joinder of Mayr-Melnhof Holz Holding AG to Reply of Debtor and Official Committee of Unsecured Creditors in Support of the Joint Motion of Debtors and Official Committees of Unsecured Creditors for Entry of an Order Approving the Stipulation with Mayr-Melnhof Holz Holding AG and in Response to Objection of Carolina Sawmills, L.P.’s Thereto (D.I. 921, filed 8/9/21); ● Declaration of Richard Bernard in Support of Joint Motion of Debtors and Official Committees of Unsecured Creditors for Entry of an Order Approving the Stipulation with Mayr-Melnhof Holz Holding AG (D.I. 870, filed 7/21/21); ● Declaration of Nat Wasserstein in Support of Joint Motion of Debtors and Official Committees of Unsecured Creditors for Entry of an Order Approving the Stipulation with Mayr-Melnhof Holz Holding AG (D.I. 871, filed 7/21/21); ● Declaration of Daniel T. Motulsky in Support of Joint Motion of Debtors and Official Committees of Unsecured Creditors for Entry of an Order Approving the Stipulation with Mayr-Melnhof Holz Holding AG (D.I. 872, filed 7/21/21); ● Declaration of Eric M. Sutty in Support of Joint Motion of Debtors and Official Committees of Unsecured Creditors for Entry of an Order Approving the Stipulation with Mayr-Melnhof Holz Holding AG (D.I. 873, filed 7/21/21); ● Joint Reply of Debtor and Official Committee of Unsecured Creditors in Support of the Joint Motion of Debtors and Official Committees of Unsecured Creditors for Entry of an Order Approving the Stipulation with Mayr-Melnhof Holz Holding AG (D.I. 916, filed 8/6/21); ● Joint Motion Pursuant to Section 105 of the Bankruptcy Code and Bankruptcy 3

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Listed Under Agenda Item No. 5: Rules 9019 and 7023 for an Order (I) Certifying a Class for Settlement Purposes, (II) Appointing Plaintiff Cornelius Turner as Class Representative and Plaintiffs’ Counsel as Class Counsel, (III) Preliminarily Approving Settlement, (IV) Approving Class Notice, and (V) Scheduling Fairness Hearing (D.I. 874, filed 7/21/21); ● Carolina Sawmills, L.P.’s: (I) Limited Objection to Joint Motion Pursuant to Sections 105 of the Bankruptcy Code and Bankruptcy Rule 9019 and 7023 for an Order (I) Certifying a Class for Settlement Purposes, (II) Appointing Plaintiff Cornelius Turner as Class Representative and Plaintiffs’ Counsel as Class Counsel, Preliminarily Approving Settlement, (IV) Approving Class Notice, and (V) Scheduling Fairness Hearing; and (II) Reservation of Rights [Docket No. 874] (D.I. 907, filed 8/4/21); ● Joint Reply in Support of Joint Motion Pursuant to Section 105 of the Bankruptcy Code and Bankruptcy Rules 9019 and 7023 for an Order (I) Certifying a Class for Settlement Purposes, (II) Appointing Plaintiff Cornelius Turner as Class Representative and Plaintiffs’ Counsel as Class Counsel, (III) Preliminarily Approving Settlement, (IV) Approving Class Notice, and (V) Scheduling Fairness Hearing (D.I. 914, filed 8/6/21); B. ADDITIONAL EXHIBITS NOT REFERENCED ON AGENDA FOR AUGUST 11TH HEARING Exhibit Description of Document: 1. Schedules (D.I. 77, filed 7/24/20); 2. CV of Daniel T. Motulsky (D.I. 168-1, filed 8/26/20); 3. Order Approving Stipulation Regarding Motion to Approve County Settlement (D.I. 377, filed 11/9/20); 4. [signed] Order Approving Motion of the Debtor Pursuant to Bankruptcy Rule 9019, Local Rule 9013-1 and 11 U.S.C. §§ 105(a) and 363(b), for Entry of an Order Authorizing Revised Settlement With the County (D.I. 380, filed 11/9/20); 5. Debtor’s Motion for Entry of (A) an Order (I) Scheduling a Hearing on the Approval of the Sale of All or Substantially All of the Debtor’s Assets Free and Clear of All Encumbrances, and the Assumption and Assignment of Certain Executory Contracts and Unexpired Leases, (II) Approving Certain Bidding Procedures and Assumption and Assignment Procedures; (III) Designating Stalking 4

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Horse Purchaser and Approving Certain Bid Protections, and (IV) Granting Related Relief; and (B) an Order (I) Approving Asset Purchase Agreement, (II) Authorizing the Sale of All or Substantially All of the Debtor’s Assets Free and Clear of All Encumbrances, (III) Authorizing the Assumption and Assignment of Certain Executory Contracts and Unexpired Leases, and (IV) Granting Related Relief (D.I. 381, filed 11/9/20); 6. Declaration of J.T. Atkins in Support of Motion of the Debtor Seeking an Order Approving Bidding Procedures for Sale of Substantially of the Assets of the Debtor (D.I. 383, filed 11/9/20); 7. Carolina Sawmills, L.P.’s Limited Objection to Debtor’s Motion for Entry of (A) an Order (I) Scheduling a Hearing on the Approval of the Sale of All or Substantially All of the Debtor’s Assets Free and Clear of All Encumbrances, and the Assumption and Assignment of Certain Executory Contracts and Unexpired Leases, (II) Approving Certain Bidding Procedures and Assumption and Assignment Procedures; (III) Designating Stalking Horse Purchaser and Approving Certain Bid Protections, and (IV) Granting Related Relief; and (B) an Order (I) Approving Asset Purchase Agreement, (II) Authorizing the Sale of All or Substantially All of the Debtor’s Assets Free and Clear of All Encumbrances, (III) Authorizing the Assumption and Assignment of Certain Executory Contracts and Unexpired Leases, and (IV) Granting Related Relief (D.I. 409, filed 11/17/20); 8. Declaration of Robert Prusak in Support of Motion to Approve Bidding Procedures and Bid Protections (D.I. 415, filed 11/17/20); 9. U.S. Bankruptcy Court-District of Delaware Confirmed Telephonic Appearance Schedule for November 18, 2020 Hearing (D.I. 420, filed 11/18/20); 10. [signed] Order (I) Scheduling a Hearing on the Approval of a Sale of Substantially All of the Debtor’s Assets Free and Clear of All Encumbrances, and the Assumption and Assignment of Certain Executory Contracts and Unexpired Leases, (II) Approving Certain Bidding Procedures and Assumption and Assignment Procedures, (III) Designating the Stalking Horse Purchaser and Approving Certain Bid Protection, and (IV) Granting Related Relief (D.I. 421, filed 11/19/20); 11. Transcript of Telephonic Hearing on November 18, 2020, Before the Honorable Karen B. Owens, United States Bankruptcy Judge (D.I. 427, filed 11/23/20); 12. [signed] Order (I) Approving APA, (II) Authorizing the Sale of Certain of the Debtor’s Assets Free and Clear of Certain Encumbrances, (III) Authorizing the Assumption and Assignment of Certain Executory Contracts and Unexpired Leases, and (IV) Granting Related Relief (D.I. 507, filed 12/17/20). 5

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13. Proof of Claim filed by Carolina Sawmills, L.P. (ECN-28, filed 1/13/21); 14. Amended Schedules (D.I. 586, filed 1/29/21); 15. [signed] Order Further Extending the Exclusive Periods During Which Only the Debtor May File a Chapter 11 Plan and Solicit Acceptances Thereof (D.I. 887, Filed 7/29/21); 16. Complaint and Objection to Claim 54 Filed by Carolina Sawmills, L.P. (A.P. No, 21-51010 (KBO), D.I. 1, filed 8/9/21) (without Exhibits). C. RESERVATION OF RIGHTS Carolina Sawmills reserves the right to add additional exhibits to its Exhibit List in accordance with the Procedures set forth in Judge Karen B. Owens Phase 2 Procedures and General Reminders (dated February 9, 2021) (the “Procedures”), and to include additional exhibits in rebuttal to any exhibits and testimony that may be introduced in connection with the direct examination of any witness. At this point in time, the Committee has not notified Carolina Sawmills, L.P., that it intends to produce any witnesses at the August 11, 2021, hearing. [Remainder of Page Intentionally Left Blank] 6

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Accordingly, Carolina Sawmills, L.P. reserves all rights to object to any Committee witnesses, and to supplement this Exhibits List accordingly, if any Committee witnesses are timely identified prior to the August 11, 2021 hearing in accordance with the Procedures. Date: August 10, 2021 LAW OFFICE OF CURTIS A. HEHN /s/ Curtis A. Hehn Curtis A. Hehn (Bar No. 4264) 1007 N. Orange Street, 4th Floor Wilmington, DE 19801 Telephone: (302) 757-3491 Facsimile: (302) 397-2155 Email: curtishehn@comcast.net and EvansStarrett PLC Attn: K. Stewart Evans, Jr., Esq. 11218 Popes Head Road Fairfax, VA 22030 Telephone: (703) 691-8131 Facsimile: (703) 691-8133 Email: stewart@evansstarrett.com James B. Moloney, Esq. 204 Coral Street Beach Haven, NJ 08008 Telephone: (202) 378-8342 Email: moloneywbc@cs.com Attorneys for Carolina Sawmills, L.P. 7

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