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Case: 19-12521 Doc: 1538 Filed: 12/21/20 Page: 1 of 4

IN THE BANKRUPTCY COURT FOR THE WESTERN DISTRICT OF

______x

: Chapter 11 In re :

: Case No. 19-12521-JDL WHITE STAR HOLDINGS, LLC, : et al., : Jointly Administered : Debtors. : ______x

JOINT STIPULATION OF THE PLAN ADMINISTRATOR AND DEVON ENERGY PRODUCTION CORPORATION, L.P., AMENDING CLAIM NO. 4106, FILED AUGUST 23, 2019

Tribolet Advisors LLC, in its capacity as Plan Administrator under the Joint Chapter 11

Plan of Liquidation of White Star Petroleum Holdings, LLC, and Its Debtor Affiliates (the “Plan

Administrator”) and Devon Energy Production Corporation, L.P. (“Devon Energy” and, together with the Plan Administrator, the “Parties”), hereby jointly stipulate to the following in resolution of potentially contested and unresolved matters concerning Claim No. 4106 filed by Devon Energy on August 23, 2019 (the “Devon Claim”):

1. On August 23, 2019, Devon Energy filed the Devon Claim as a secured claim in the unliquidated amount of “no less than $962,937.90.”

2. As a result of matters and events subsequent to the filing of the Devon Claim, including discussions between the Plan Administrator and Devon Energy, the Parties have concluded that the Devon Claim is not secured, and should be treated as an unsecured claim.

3. Additionally, the Parties have concluded that it is in their best interests to mutually agree to a liquidated amount for the Devon Claim in lieu of expending additional fees and expenses in litigating the amount of the Devon Claim.

Case: 19-12521 Doc: 1538 Filed: 12/21/20 Page: 2 of 4

4. To efficiently resolve all issues concerning the Devon Claim, the Parties jointly stipulate that Devon Energy shall have an allowed, unsecured claim in the amount of

$2,278,486.89, and that the Devon Claim shall be considered amended by this Joint Stipulation without further action by the Parties.

5. Except as provided and allowed by this Joint Stipulation, Devon Energy further agrees to release the Plan Administrator, White Star Petroleum Holdings, LLC, and Its Debtor

Affiliates from any and all claims, actions, causes of action, proceedings, obligations, damages, liabilities, costs, expenses, attorneys’ fees, and losses, whether at law or in equity, foreseen or unforeseen, matured or unmatured, known or unknown, accrued or not accrued, which Devon

Energy had, has, claims to have or have had, or may have in the future against the Plan Administrator,

White Star Petroleum Holdings, LLC, and Its Debtor Affiliates.

6. The Plan Administrator, White Star Petroleum Holdings, LLC, and Its Debtor

Affiliates likewise agree to release Devon Energy from any and all claims, actions, causes of action, proceedings, obligations, damages, liabilities, costs, expenses, attorneys’ fees, and losses, whether at law or in equity, foreseen or unforeseen, matured or unmatured, known or unknown, accrued or not accrued, which the Plan Administrator, White Star Petroleum Holdings, LLC, and Its Debtor

Affiliates had, have, claim to have or have had, or may have in the future against Devon Energy.

Dated: December 21, 2020.

TRIBOLET ADVISORS LLC, IN ITS CAPACITY AS PLAN ADMINISTRATOR UNDER THE JOINT CHAPTER 11 PLAN OF LIQUIDATION OF WHITE STAR PETROLEUM HOLDINGS, LLC AND ITS DEBTOR AFFILIATES

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Case: 19-12521 Doc: 1538 Filed: 12/21/20 Page: 3 of 4

By: /s/ Craig M. Regens Craig M. Regens, OBA No. 22894 G. Blaine Schwabe III, OBA No. 8001 GABLEGOTWALS One Leadership Square, 15th Floor 211 Robinson , OK 73102 Telephone:(405) 235-5500 Facsimile: (405) 235-2875 [email protected] [email protected]

-and-

/s/ Kevin M. Coffey Kevin M. Coffey, OBA No. 11791 Harris & Coffey, PLLC 435 N. Walker, Suite 202 Oklahoma City, OK 73102 Phone: (405) 235-1497 Facsimile: (405) 606-7446 Email: [email protected]

Counsel for Tribolet Advisors LLC, in its capacity as Plan Administrator Under the Joint Plan of Liquidation of White Star Petroleum Holdings, LLC and Its Debtor Affiliates

-and-

By: /s/ John J. Griffin John J. Griffin, Jr., OBA 6313 CROWE & DUNLEVY, P.C. 324 N. Robinson, Ste. 100 Oklahoma City, OK 73102 (405) 235-7718 (405) 272-5225 (Facsimile) Email: [email protected]

– and –

By: /s/ John H. Thompson John H. Thompson (pro hac vice) McGUIREWOODS LLP 2001 K Street N.W., Suite 400

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Case: 19-12521 Doc: 1538 Filed: 12/21/20 Page: 4 of 4

Telephone: (202) 857-1700 Email: [email protected]

Counsel for Devon Energy Production Company, L.P.

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