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Full title: Ex Parte Motion to Appear Pro Hac Vice of Earl M. Forte (Fee Amount $ 281) filed by Glenn C. Thompson on behalf of The Official Committee of Asbestos Personal Injury Claimants. (Thompson, Glenn)

Document posted on Aug 24, 2021 in the bankruptcy, 4 pages and 0 tables.

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In re: ) Case No. 20-30080 ) DBMP LLC, ) Chapter 11 ) Debtor. ) MOTION FOR ADMISSION TO PRACTICE PRO HAC VICE NOW COMES undersigned counsel for the Official Committee of Asbestos Personal Injury Claimants (the “Committee”), in the above-captioned case, and hereby moves pursuant to Local Bankruptcy Rule 2090-2 for admission pro hac vice of Earl M. Forte (“Applicant”) to the court for the purpose of representing the Committee. Applicant is also admitted and in good standing before the following United States District Courts: Eastern District of Pennsylvania; Middle District of Pennsylvania; Northern, Eastern, Central and Southern Districts of California; the District of Arizona; and the Eastern District of Wisconsin.In re: ) Case No. 20-30080 ) DBMP LLC, ) Chapter 11 ) Debtor. ) DECLARATION OF EARL M. FORTE IN SUPPORT OF MOTION FOR ADMISSION PRO HAC VICE Earl M. Forte, in support of the Motion for Admission Pro Hac Vice, declares as follows: 1. I am and have been a member in good standing before the following United States District Courts: Eastern District of Pennsylvania; Middle District of Pennsylvania; Northern, Eastern, Central and Southern Districts of California; the District of Arizona; and the Eastern District of Wisconsin.Earl M. Forte, Declarant CERTIFICATE OF SERVICE I hereby certify that on this day, the foregoing Motion for Admission to Practice Pro Hac Vice and Declaration of Earl M. Forte were served by electronic means on those parties registered with the United States Bankruptcy Court, Western District of North Carolina ECF system to receive notices for this case.

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UNITED STATES BANKRUPTCY COURT WESTERN DISTRICT OF NORTH CAROLINA CHARLOTTE DIVISION In re: ) Case No. 20-30080 ) DBMP LLC, ) Chapter 11 ) Debtor. ) MOTION FOR ADMISSION TO PRACTICE PRO HAC VICE NOW COMES undersigned counsel for the Official Committee of Asbestos Personal Injury Claimants (the “Committee”), in the above-captioned case, and hereby moves pursuant to Local Bankruptcy Rule 2090-2 for admission pro hac vice of Earl M. Forte (“Applicant”) to the court for the purpose of representing the Committee. In support of the Motion, the undersigned would respectfully show the Court the following: 1. Applicant is a partner with the law firm of Robinson + Cole LLP with offices located in Pennsylvania and Delaware. 2. Applicant is a member in good standing of the bars of the State of California and the Commonwealth of Pennsylvania. Applicant is also admitted and in good standing before the following United States District Courts: Eastern District of Pennsylvania; Middle District of Pennsylvania; Northern, Eastern, Central and Southern Districts of California; the District of Arizona; and the Eastern District of Wisconsin. Applicant is also admitted and in good standing before the First, Third, Sixth and Ninth United States Circuit Courts of Appeal and the Supreme Court of the United States. 3. Applicant’s appearance in this matter will be in association with the undersigned, who is a member in good standing of the North Carolina State Bar and who is admitted to practice before this Court.

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4. The Declaration of Applicant supporting this Motion is attached hereto and is incorporated herein by reference. 5. The $281.00 fee for admission pro hac vice is being submitted with the filing of this Motion. WHEREFORE, the Movant respectfully requests that this Court enter an Order admitting Earl M. Forte pro hac vice in this matter as set forth herein. Dated: August 25, 2021 Charlotte, North Carolina HAMILTON STEPHENS STEELE + MARTIN, PLLC /s/ Glenn C. Thompson Glenn C. Thompson (NC Bar No. 37221) 525 North Tryon Street, Suite 1400 Charlotte, North Carolina 28202 Telephone: (704) 344-1117 Facsimile: (704) 344-1483 gthompson@lawhssm.com Counsel for the Official Committee of Asbestos Personal Injury Claimants

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UNITED STATES BANKRUPTCY COURT WESTERN DISTRICT OF NORTH CAROLINA CHARLOTTE DIVISION In re: ) Case No. 20-30080 ) DBMP LLC, ) Chapter 11 ) Debtor. ) DECLARATION OF EARL M. FORTE IN SUPPORT OF MOTION FOR ADMISSION PRO HAC VICE Earl M. Forte, in support of the Motion for Admission Pro Hac Vice, declares as follows: 1. I am a partner with the law firm of Robinson + Cole LLP, 1650 Market Street, Suite 3600, Philadelphia, PA 19103. My telephone number is (215) 398-0559, and my e-mail address is eforte@rc.com. 2. I am and have been a member in good standing before the following United States District Courts: Eastern District of Pennsylvania; Middle District of Pennsylvania; Northern, Eastern, Central and Southern Districts of California; the District of Arizona; and the Eastern District of Wisconsin. I am also admitted and in good standing before the First, Third, Sixth and Ninth United States Circuit Courts of Appeal and the Supreme Court of the United States. 3. I am in good standing in all courts where I have been admitted. 4. I have never been disbarred, suspended, or denied admissions to practice. 5. I declare under the penalty of perjury that the foregoing is true and correct. This the 25th of August, 2021. /s/ Earl M. Forte Earl M. Forte, Declarant

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CERTIFICATE OF SERVICE I hereby certify that on this day, the foregoing Motion for Admission to Practice Pro Hac Vice and Declaration of Earl M. Forte were served by electronic means on those parties registered with the United States Bankruptcy Court, Western District of North Carolina ECF system to receive notices for this case. Dated: August 25, 2021 Charlotte, North Carolina HAMILTON STEPHENS STEELE + MARTIN, PLLC /s/ Glenn C. Thompson Glenn C. Thompson (NC Bar No. 37221) 525 North Tryon Street, Suite 1400 Charlotte, North Carolina 28202 Telephone: (704) 344-1117 Facsimile: (704) 344-1483 gthompson@lawhssm.com Counsel for the Official Committee of Asbestos Personal Injury Claimants

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