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Full title: Witness List, Exhibit List (Filed By Chesapeake Energy Corporation ).(Related document(s):[3934] Objection to Claim, [4107] Objection to Claim) (Attachments: # (1) Exhibit 1 # (2) Exhibit 2 # (3) Exhibit 3 # (4) Exhibit 4 # (5) Exhibit 5 # (6) Exhibit 6 # (7) Exhibit 7 # (8) Exhibit 8 # (9) Exhibit 9 # (10) Exhibit 10 # (11) Exhibit 11 # (12) Exhibit 12 # (13) Exhibit 13 # (14) Exhibit 14 # (15) Exhibit 15 # (16) Exhibit 16 # (17) Exhibit 17 # (18) Exhibit 18 # (19) Exhibit 19 # (20) Exhibit 20 # (21) Exhibit 21 # (22) Exhibit 22 # (23) Exhibit 23 # (24) Exhibit 24 # (25) Exhibit 25 # (26) Exhibit 26 # (27) Exhibit 27) (Stull, John)

Document posted on Nov 9, 2021 in the bankruptcy, 6 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

The above-captioned reorganized debtors (collectively, the “Reorganized Debtors”) file this Witness and Exhibit List for the hearing to be held on November 15, 2021, at 9:00 a.m., regarding the objection and supplemental objection to the proof of claim filed by Waymond NoblesThe 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. KIRKLAND & ELLIS LLP Matthew D. Cavenaugh (TX Bar No. 24062656) KIRKLAND & ELLISVeronica A. Polnick (TX Bar No. 24079148) 300 North LaSalle Street 1401 McKinney Street, Suite 1900 Co-Counsel to the Reorganized Debtors Co-Counsel to the Reorganized Debtors Certificate of Service I certify that on November 10, 2021, I caused a copy of the foregoing document to be served by the Electronic Case Filing System for the United States Bankruptcy Court for the Southern District of Texas.

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Document Contents

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) § REORGANIZED DEBTORS’ WITNESS AND EXHIBIT LIST FOR HEARING SCHEDULED FOR NOVEMBER 15, 2021 AT 9:00 A.M. (PREVAILING CENTRAL TIME) The above-captioned reorganized debtors (collectively, the “Reorganized Debtors”) file this Witness and Exhibit List for the hearing to be held on November 15, 2021, at 9:00 a.m., regarding the objection and supplemental objection to the proof of claim filed by Waymond Nobles [Docket Nos. 3934 and 4107] (the “Hearing”) as follows: WITNESSES The Reorganized Debtors may call the following witnesses at the Hearing: 1. Kyle Buchanan, Managing Attorney, Chesapeake Energy Corporation; 2. Tommy L. Ducharme, BETA Land Services; 3. Waymond Nobles, Claimant; 4. Any witness listed by any other party; 5. Rebuttal witnesses as necessary; and 6. The Reorganized Debtors reserve the right to cross-examine any witness called by any other party. 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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EXHIBITS
Table 1 on page 2. Back to List of Tables
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DESCRIPTION K
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DISPOSITION
AFTER TRIAL
1. Plaintiff Petition Trespass to Try Title,
Temporary Injunction, Slander and
Conspiracy to Commit Fraud (Case No.
19-CV-34997), filed in the District
Court of Shelby County, Texas on
September 23, 2019
2. Plaintiff Original Petition for Trespass
to Try Title, Temporary Injunction,
Slander and Conspiracy to Commit
Fraud, (Case No. 19-CV-34997), filed
in the District Court of Shelby County,
Texas on February 24, 2020
3. Docket Sheet, Case No. 19-CV-34997,
District Court, Shelby County, Texas
4. Proof of Claim No. 2525, filed on
October 27, 2020 by Waymond Nobles
5. Response to claim objection [Docket
No. 3958], filed by Waymond Nobles
on August 18, 2021
6. Response to claim objection [Docket
No. 3995], filed by Waymond Nobles
on September 1, 2021
7. Response to Claim Objection [Docket
No. 4021], filed by Waymond Nobles
on August 31, 2021
8. Reorganized Debtors’ Objection to
Proof of Claim No. 2525, filed by W.
Nobles [Docket No. 3934]
9. Declaration of Kyle Buchanan in
Support of Reorganized Debtors’
objection to Proof of Claim No. 2525
[Docket No. 3934]
10. Plat, Bill Hill & Associates, Nobles No.
2, 80 acres, Dated December 9, 1985,
Revised January 27, 1986
11. Plat, Dear Minerals, Inc., J.E. Nobles
Unit #1, March 4, 1975
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Table 1 on page 3. Back to List of Tables
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DISPOSITION
AFTER TRIAL
12. Plat, Marshall Exploration, Inc., Nobles
No. 1, Dated November 21, 1981
13. First Amendment to Declaration of
Pooled Unit, Nobles Gas Unit
14. Plat Showing Proposed Well Location,
Nobles 1-H
15. Declaration of Pooled Unit, Pilot Gas
Unit
16. Plat Showing Proposed Well Location,
Pilot 1H
17. Declaration of Pooled Unit, Davis Gas
Unit
18. Plat Showing Proposed Well Location,
Davis 1H
19. Texas Railroad Commission, GIS Map
20. Texas Railroad Commission, Proposal
for Decision (Case No. 06-0307914),
June 21, 2018
21. Texas Railroad Commission, Final
Order (Case No. 06-0307914), August
21, 2018
22. Location Plat, Lands of J. Nobles or
Assigns, BETA Land Services, July 12,
2021
23. Location Plat, Lands of J. Nobles or
Assigns, BETA Land Services, July 12,
2021
24. Assignment, Bill of Sale and
Conveyance, dated November 1, 2014
25. Reorganized Debtors’ Supplemental
Objection to Proof of Claim No. 2525,
filed by W. Nobles [Docket No. 4107]
26. Declaration of Kyle Buchanan in
Support of Reorganized Debtors’
Supplemental Objection to Proof of
Claim No. 2525 [Docket No. 4107]
27. PowerPoint Demonstrative
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DISPOSITION
AFTER TRIAL
Any document or pleading filed in the
above-captioned main cases
Any exhibit necessary for impeachment
and/or rebuttal purposes
Any exhibit identified or offered by any
other party
RESERVATION OF RIGHTS The Reorganized Debtors reserve the right to call or to introduce one or more, or none, of the witnesses and exhibits listed above, and further reserve the right to supplement this list prior to the Hearing. 4

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Houston, Texas November 10, 2021 /s/ J. Machir Stull JACKSON WALKER LLP. KIRKLAND & ELLIS LLP Matthew D. Cavenaugh (TX Bar No. 24062656) KIRKLAND & ELLIS INTERNATIONAL LLP Jennifer F. Wertz (TX Bar No. 24072822) Patrick J. Nash, Jr., P.C. (admitted pro hac vice ) Kristhy M. Peguero (TX Bar No. 24102776) Alexandra Schwarzman (admitted pro hac vice) Veronica A. Polnick (TX Bar No. 24079148) 300 North LaSalle Street 1401 McKinney Street, Suite 1900 Chicago, Illinois 60654 Houston, Texas 77010 Telephone: (312) 862-2000 Telephone: (713) 752-4200 Facsimile: (312) 862-2200 Facsimile: (713) 752-4221 Email: patrick.nash@kirkland.com Email: mcavenaugh@jw.com alexandra.schwarzman@kirkland.com jwertz@jw.com kpeguero@jw.com vpolnick@jw.com Co-Counsel to the Reorganized Debtors Co-Counsel to the Reorganized Debtors

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Certificate of Service I certify that on November 10, 2021, I caused a copy of the foregoing document to be served by the Electronic Case Filing System for the United States Bankruptcy Court for the Southern District of Texas. Copies of this document and the referenced exhibits were also served on Waymond Nobles via email at wayneandjasonnc@gmail.com. /s/ J. Machir Stull J. Machir Stull

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