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Full title: Stipulation By Chesapeake Energy Corporation and Roxane West. Does this document include an agreed order or otherwise request that the judge sign a document? No. (Filed By Chesapeake Energy Corporation ).(Related document(s):[3933] Objection to Claim) (Stull, John)

Document posted on Sep 26, 2021 in the bankruptcy, 3 pages and 0 tables.

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STIPULATION BETWEEN THE REORGANIZED DEBTORS AND ROXANE WEST WITH REGARD TO THE REORGANIZED DEBTORS’ OBJECTION TO PROOF OF CLAIMDate of the Plan, the “Debtors,” and after the Effective Date of the Plan, the “Reorganized Debtors”) and Roxane West (the “Claimant” and together with Reorganized Debtors, the “Parties”) enter this stipulation (this “Stipulation”) with respect to the Reorganized Debtors’ Objection to Proof of Claim No. 2253 Filed by Roxane WestWHEREAS, on June 28, 2020 (the “Petition Date”), the Debtors filed voluntary petitions in the United States Bankruptcy Court for the Southern District of Texas (the “Court”) seeking relief under chapter 11 of the United States Bankruptcy Code; WHEREAS, on October 20, 2020, the Claimant filed her claim against Chesapeake Excploration, LLC [Claim No. 2253] (the “West Claim”); WHEREAS, on July 30, 2021, the Reorganized Debtors filed the Objection to the West Claim; 1 A complete list of each of the Reorganized Debtors in these chapter 11 cases may be obtained on the website of the Reorganized Debtors’ claims and noticing agent at https://dm.epiq11.com/chesapeake.The location of Reorganized Debtor Chesapeake Energy Corporation’s principal place of business and the Reorganized Debtors’ service address in these chapter 11 cases is 6100 North Western Avenue, Oklahoma City, Oklahoma 73118.J. Machir Stull JACKSON WALKER LLP KIRKLAND & ELLIS LLP Matthew D. Cavenaugh (TX Bar No. 24062656) KIRKLAND & ELLIS INTERNATIONAL LLP Kristhy M. Peguero (TX Bar No. 24102776)

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION § In re: § Chapter 11 § CHESAPEAKE ENERGY CORPORATION, et al.,1 § Case No. 20-33233 (DRJ) § Reorganized Debtors. § (Jointly Administered) § § Re: Docket No. 3933 STIPULATION BETWEEN THE REORGANIZED DEBTORS AND ROXANE WEST WITH REGARD TO THE REORGANIZED DEBTORS’ OBJECTION TO PROOF OF CLAIM NO. 2253 FILED BY ROXANE WEST The above-captioned reorganized debtors (before the Effective Date of the Plan, the “Debtors,” and after the Effective Date of the Plan, the “Reorganized Debtors”) and Roxane West (the “Claimant” and together with Reorganized Debtors, the “Parties”) enter this stipulation (this “Stipulation”) with respect to the Reorganized Debtors’ Objection to Proof of Claim No. 2253 Filed by Roxane West [Docket No. 3933] (the “Objection”) and stipulate as follows: WHEREAS, on June 28, 2020 (the “Petition Date”), the Debtors filed voluntary petitions in the United States Bankruptcy Court for the Southern District of Texas (the “Court”) seeking relief under chapter 11 of the United States Bankruptcy Code; WHEREAS, on October 20, 2020, the Claimant filed her claim against Chesapeake Excploration, LLC [Claim No. 2253] (the “West Claim”); WHEREAS, on July 30, 2021, the Reorganized Debtors filed the Objection to the West Claim; 1 A complete list of each of the Reorganized Debtors in these chapter 11 cases may be obtained on the website of the Reorganized Debtors’ claims and noticing agent at https://dm.epiq11.com/chesapeake. The location of Reorganized Debtor Chesapeake Energy Corporation’s principal place of business and the Reorganized Debtors’ service address in these chapter 11 cases is 6100 North Western Avenue, Oklahoma City, Oklahoma 73118.

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WHEREAS, by agreement of the Parties, the Claimaint’s response deadline to the Objection was extended to September 27, 2021 [Docket Nos. 3982, 4019 and 4028], subject to further extension; and WHEREAS, the Parties still believe they have reached a resolution with regard to the Objection and have agreed to an additional 7-day extension to the response deadline in order to allow for the agreement to be finalized. NOW THEREFORE, in consideration of the aforementioned recitals, which are incorporated herein by reference, the Parties agree and stipulate as follows: 1. Accordingly, the Claimant’s response deadline to the Objection is extended to October 4, 2021, subject to further extension by agreement of the Parties. 2. The Court shall retain jurisdiction to resolve disputes regrading this Stipulation. 2

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Houston, Texas September 27, 2021 /s/ J. Machir Stull JACKSON WALKER LLP KIRKLAND & ELLIS LLP Matthew D. Cavenaugh (TX Bar No. 24062656) KIRKLAND & ELLIS INTERNATIONAL LLP Kristhy M. Peguero (TX Bar No. 24102776) Patrick J. Nash, Jr., P.C. (admitted pro hac vice ) J Machir Stull (TX Bar No. 24070697) Alexandra Schwarzman (admitted pro hac vice) Veronica A. Polnick (TX Bar No. 24079148) 300 North LaSalle Street Victoria Argeroplos (TX Bar No. 24105799) Chicago, Illinois 60654 1401 McKinney Street, Suite 1900 Telephone: (312) 862-2000 Houston, Texas 77010 Facsimile: (312) 862-2200 Telephone: (713) 752-4200 Email: patrick.nash@kirkland.com Facsimile: (713) 752-4221 Email: alexandra.schwarzman@kirkland.com Email: mcavenaugh@jw.com kpeguero@jw.com Co-Counsel to the Reorganized Debtors mstull@jw.com vpolnick@jw.com vargeroplos@jw.com Co-Counsel to the Reorganized Debtors /s/ Jarrod Martin CHAMBERLAIN HRDLICKA Jarrod Martin (TX Bar No. 24070221) 1200 Smith Street, Suite 1400 Houston, TX 77002 Telephone: (713) 356-1280 Facsimile: (713) 658-2553 Email: jarrod.martin@chamberlainlaw.com Counsel for Roxane West

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