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Full title: Motion re: for Order Granting Authority to Employ Professionals Used in the Ordinary Course of Business Nunc Pro Tunc to the Petition Date Filed by Edmond M. George on behalf of Aluminum Shapes, L.L.C.. Hearing scheduled for 9/7/2021 at 11:00 AM at JNP - Courtroom 4C, Camden. (Attachments: # (1) Motion # (2) Exhibit A - Proposed Order) (George, Edmond)

Document posted on Aug 15, 2021 in the bankruptcy, 3 pages and 0 tables.

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DISTRICT OF NEW JERSEY Caption in Compliance with D.N.J. LBR 9004-1(b) OBERMAYER REBMANN MAXWELL & HIPPEL LLP Edmond M. George, Esquire In re: Chapter 11 ALUMINUM SHAPES, L.L.C., Case No. 21-16520 (JNP) Debtor. NOTICE OF DEBTOR’S MOTION PURSUANT TO 11 U.S.C. §§ 105(a), 327, AND 330 FOR AUTHORITY TO EMPLOY PROFESSIONALS USED IN THE ORDINARY COURSE OF BUSINESS NUNC PRO TUNC TO THE PETITION DATE PLEASE TAKE NOTICE that on September 7, 2021, at 11:00 a.m. (EST), or as soon thereafter as counsel may be heard, the above-captioned debtor and debtor in possession (the “Debtor”), by and through its undersigned proposed counsel, shall move (the “Motion”) before the Honorable Jerold N Poslusny, Jr., United States Bankruptcy Judge, in Courtroom 4C of the United States Bankruptcy Court for the District of New Jersey, Michell H. Cohen U.S. Courthouse, 400 Cooper Street, Fourth Floor, Camden, New Jersey 08110, for entry of an order, seeking authority to establish certain procedures to retain and compensate those professionals that the Debtor employs in the ordinary course of business (collectively, the “Ordinary Course Professionals”), effective as of the Petition Date, all as more fully set forth in the Motion. PLEASE TAKE FURTHER NOTICE that objections, if any, to the relief requested in the Motion shall: (i) be in writing, (ii) state with particularity the basis of the objection, and (iii) be filed with the Clerk of the United States Bankruptcy Court electronically by attorneys who regularly practice before the Bankruptcy Court in accordance with the General Order Regarding Electronic Means for Filing, Signing, and Verification of Documents dated March 27, 2002 (the “General Order”) and the Commentary Supplementing Administrative Procedures dated as of March 2004 (the “Supplemental Commentary”)(the General Order, the Supplemental Commentary and the User’s Manual for the Electronic Case Filing System can be found at www.njb.uscourts.gov, the official website for the Bankruptcy Court) and, by all other parties-in-interest, on CD-ROM in Portable Document Format (PDF), and shall be served in accordance with the General Order and the Supplemental Commentary, so as to be received no later than seven (7) days before the hearing date set forth above. PLEASE TAKE FURTHER NOTICE that unless objections are timely filed and served, the Motion shall be decided on the papers in accordance with D.N.J. LBR 9013-3(d), and (A PORTION OF THIS PAGE INTENTIONALLY LEFT BLANK)

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UNITED STATES BANKRUPTCY COURT DISTRICT OF NEW JERSEY Caption in Compliance with D.N.J. LBR 9004-1(b) OBERMAYER REBMANN MAXWELL & HIPPEL LLP Edmond M. George, Esquire Michael D. Vagnoni, Esquire (pro hac vice pending) Turner Falk, Esquire 1120 Route 73, Suite 420 Mount Laurel, NJ 08054-5108 Telephone: (856) 795-3300 Facsimile: (856) 482-0504 E-mail: edmond.george@obermayer.com michael.vagnoni@obermayer.com turner.falk@obermayer.com Proposed Counsel to the Debtor and Debtor in Possession In re: Chapter 11 ALUMINUM SHAPES, L.L.C., Case No. 21-16520 (JNP) Debtor. NOTICE OF DEBTOR’S MOTION PURSUANT TO 11 U.S.C. §§ 105(a), 327, AND 330 FOR AUTHORITY TO EMPLOY PROFESSIONALS USED IN THE ORDINARY COURSE OF BUSINESS NUNC PRO TUNC TO THE PETITION DATE PLEASE TAKE NOTICE that on September 7, 2021, at 11:00 a.m. (EST), or as soon thereafter as counsel may be heard, the above-captioned debtor and debtor in possession (the “Debtor”), by and through its undersigned proposed counsel, shall move (the “Motion”) before the Honorable Jerold N Poslusny, Jr., United States Bankruptcy Judge, in Courtroom 4C of the United States Bankruptcy Court for the District of New Jersey, Michell H. Cohen U.S. Courthouse, 400 Cooper Street, Fourth Floor, Camden, New Jersey 08110, for entry of an order, seeking authority to establish certain procedures to retain and compensate those professionals that the Debtor

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employs in the ordinary course of business (collectively, the “Ordinary Course Professionals”), effective as of the Petition Date, all as more fully set forth in the Motion. PLEASE TAKE FURTHER NOTICE that the Motion sets forth the relevant factual bases upon which the relief requested should be granted. A proposed Order granting the relief requested in the Motion is also submitted herewith. PLEASE TAKE FURTHER NOTICE that objections, if any, to the relief requested in the Motion shall: (i) be in writing, (ii) state with particularity the basis of the objection, and (iii) be filed with the Clerk of the United States Bankruptcy Court electronically by attorneys who regularly practice before the Bankruptcy Court in accordance with the General Order Regarding Electronic Means for Filing, Signing, and Verification of Documents dated March 27, 2002 (the “General Order”) and the Commentary Supplementing Administrative Procedures dated as of March 2004 (the “Supplemental Commentary”) (the General Order, the Supplemental Commentary and the User’s Manual for the Electronic Case Filing System can be found at www.njb.uscourts.gov, the official website for the Bankruptcy Court) and, by all other parties-in-interest, on CD-ROM in Portable Document Format (PDF), and shall be served in accordance with the General Order and the Supplemental Commentary, so as to be received no later than seven (7) days before the hearing date set forth above. PLEASE TAKE FURTHER NOTICE that unless objections are timely filed and served, the Motion shall be decided on the papers in accordance with D.N.J. LBR 9013-3(d), and (A PORTION OF THIS PAGE INTENTIONALLY LEFT BLANK)

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the relief requested may be granted without further notice or hearing. Dated: August 16, 2021 Respectfully submitted, By: /s/ Edmond M. George Edmond M. George, Esquire Michael D. Vagnoni, Esquire (pro hac vice pending) Turner Falk, Esquire OBERMAYER REBMANN MAXWELL & HIPPEL LLP 1120 Route 73, Suite 420 Mt. Laurel, NJ 08054 Telephone: 856-795-3300 Facsimile: (856) 482-0504 Email: edmond.george@obermayer.com michael.vagnoni@obermayer.com turner.falk@obermayer.com Proposed Counsel to the Debtor and Debtor in Possession

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