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Full title: Notice of Appearance and Request for Service of Notice filed by Chad J. Toms on behalf of Special Litigation Counsel to the Liquidating Trustee. (Toms, Chad) (Entered: 05/07/2021)

Document posted on May 6, 2021 in the bankruptcy, 3 pages and 0 tables.

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UNITED STATES BANKRUPTCY COURT DISTRICT OF NEW JERSEY Caption in Compliance with D.N.J. LBR 9004-1(b) WHITEFORD,TAYLOR &PRESTON, L.L.P. P. 9010(b), the following attorneys hereby enter an appearance in this case as special litigation counsel to Kevin P. Clancy, solely in his capacity as the Liquating Trustee: 1The “Debtors” in these Chapter 11 Cases and the last four digits of each Debtor’s taxpayer identification number are as follows: New England Motor Freight, Inc. (7697); Eastern Freight Ways, Inc. (3461); NEMF World Transport, Inc. (2777); Apex Logistics, Inc. (5347); Jans Leasing Corp. (9009); Carrier Industries, Inc. (9223); Myar, LLC (4357); MyJon, LLC (7305); Hollywood Avenue Solar, LLC (2206); United Express Solar, LLC (1126); and NEMF Logistics, LLC (4666). PLEASE TAKE FURTHER NOTICE that it is intended that neither this Notice of Appearance nor any later appearance, pleading, claim, or suit shall waive the Liquidating Trustee’s (1) right to have final orders in non-core matters entered only after de novo review by a District Court judge; (2) right to trial by jury in any proceeding so triable in this case or any case, controversy, or proceeding related to this case; (3) right to have the District Court withdraw the reference of any matter subject to mandatory or discretionary withdrawal; or (4) any other rights, claims, actions, defenses, remedies, setoffs, or recoupments to which it is or may be entitled under agreement, in law, in equity, or otherwise, all of which rights, claims, actions, defenses, remedies, setoffs, and recoupments it expressly reserves. PLEASE TAKE FURTHER NOTICE that this Notice of Appearance does not constitute an agreement to accept service of initial process under Fed R. Civ.

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UNITED STATES BANKRUPTCY COURT DISTRICT OF NEW JERSEY Caption in Compliance with D.N.J. LBR 9004-1(b) WHITEFORD,TAYLOR &PRESTON, L.L.P. Chad J. Toms, Esq. The Renaissance Centre, Suite 500 405 North King Street Wilmington, DE 19801-3700 Telephone: (302) 357-3253 ctoms@wtplaw.com Paul M. Nussbaum, Esq. Vernon E. Inge, Jr., Esq. Corey S. Booker, Esq. Joshua D. Stiff, Esq. 1021 East Cary Street, Suite 1700 Richmond, Virginia 23219 Telephone: (804) 977-3301 pnussbaum@wtplaw.com vinge@wtplaw.com cbooker@wtplaw.com jstiff@wtplaw.com Special Litigation Counsel to the Liquidating Trustee In re: Chapter 11 NEW ENGLAND MOTOR FREIGHT, INC., et al.,1 Case No.: 19-12809 (JKS) (Jointly Administered) Debtors. NOTICE OF APPEARANCE OF SPECIAL LITIGATION COUNSEL PLEASE TAKE NOTICE that, in accordance with Fed. R. Bankr. P. 9010(b), the following attorneys hereby enter an appearance in this case as special litigation counsel to Kevin P. Clancy, solely in his capacity as the Liquating Trustee: 1 The “Debtors” in these Chapter 11 Cases and the last four digits of each Debtor’s taxpayer identification number are as follows: New England Motor Freight, Inc. (7697); Eastern Freight Ways, Inc. (3461); NEMF World Transport, Inc. (2777); Apex Logistics, Inc. (5347); Jans Leasing Corp. (9009); Carrier Industries, Inc. (9223); Myar, LLC (4357); MyJon, LLC (7305); Hollywood Avenue Solar, LLC (2206); United Express Solar, LLC (1126); and NEMF Logistics, LLC (4666).

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Chad J. Toms, Esq. WHITEFORD,TAYLOR &PRESTON, L.L.P. The Renaissance Centre, Suite 500 405 North King Street Wilmington, DE 19801-3700 Telephone: (302) 357-3253 ctoms@wtplaw.com Paul M. Nussbaum, Esq. Vernon E. Inge, Jr., Esq. Corey S. Booker, Esq. Joshua D. Stiff, Esq. WHITEFORD,TAYLOR &PRESTON, L.L.P. 1021 East Cary Street, Suite 1700 Richmond, Virginia 23219 Telephone: (804) 977-3301 pnussbaum@wtplaw.com vinge@wtplaw.com cbooker@wtplaw.com jstiff@wtplaw.com PLEASE TAKE FURTHER NOTICE that it is intended that neither this Notice of Appearance nor any later appearance, pleading, claim, or suit shall waive the Liquidating Trustee’s (1) right to have final orders in non-core matters entered only after de novo review by a District Court judge; (2) right to trial by jury in any proceeding so triable in this case or any case, controversy, or proceeding related to this case; (3) right to have the District Court withdraw the reference of any matter subject to mandatory or discretionary withdrawal; or (4) any other rights, claims, actions, defenses, remedies, setoffs, or recoupments to which it is or may be entitled under agreement, in law, in equity, or otherwise, all of which rights, claims, actions, defenses, remedies, setoffs, and recoupments it expressly reserves. PLEASE TAKE FURTHER NOTICE that this Notice of Appearance does not constitute an agreement to accept service of initial process under Fed R. Civ. P. 4 or Fed. R. Bankr. P. 7004,

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nor shall it result in undersigned proposed counsel being deemed to be the agent of the Liquidating Trustee for such purpose. Dated: May 7, 2021 WHITEFORD, TAYLOR & PRESTON, LLP /s/ Chad J. Toms Chad J. Toms, Esq. The Renaissance Centre, Suite 500 405 North King Street Wilmington, DE 19801-3700 Email: ctoms@wtplaw.com Paul M. Nussbaum, Esq. Vernon E. Inge, Jr., Esq. Corey S. Booker, Esq. Joshua D. Stiff, Esq. 1021 East Cary Street, Suite 1700 Richmond, Virginia 23219 Email: pnussbaum@wtplaw.com vinge@wtplaw.com cbooker@wtplaw.com jstiff@wtplaw.com Special Litigation Counsel to the Liquidating Trustee

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