1012103182080000000255.Pdf
Total Page:16
File Type:pdf, Size:1020Kb
Case 20-31777 Document 46 Filed in TXSB on 03/18/20 Page 1 of 148 Docket #46 Date Filed: 03/18/2020 UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION § In re: § Chapter 11 § TRI-POINT OIL & GAS PRODUCTION § Case No. 20-31777 (DRJ) SYSTEMS, LLC, et al. § § Jointly Administered Debtors.1 § CERTIFICATE OF SERVICE I, Ana M. Galvan, depose and say that I am employed by Stretto, the claims and noticing agent for the Debtors in the above-captioned case. On March 17, 2020, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on the service list attached hereto as Exhibit A, and via electronic mail on the service list attached hereto as Exhibit B: Debtors’ Emergency Motion to (I) Extend the Time to File Schedules and Statements of Financial Affairs, (II) Authorize the Debtors to File a Consolidated List of Their 30 Largest Unsecured Creditors, and (III) Waive the Requirement that Each Debtor File a List of Creditors (Docket No. 4) Debtors’ Emergency Motion for Interim and Final Orders (I) Authorizing the Debtors to (A) Continue Operating their Cash Management System, (B) Honor Certain Prepetition Obligations, and (C) Maintain Existing Bank Accounts and Business Forms, and (II) Granting Related Relief (Docket No. 5) Order (I) Directing Joint Administration of Related Chapter 11 Cases and (II) Granting Related Relief (Docket No. 8) Debtors’ Emergency Application for Entry of an Order (A) Authorizing the Retention and Appointment of Stretto as Claims, Noticing, and Solicitation Agent and (B) Granting Related Relief (Docket No. 10) Debtors’ Emergency Motion to (I) Approve Adequate Assurance of Payment to Utility Companies, (II) Establish Procedures to Resolve Objections by Utility Companies, and (III) Prohibit Utility Companies from Altering, Refusing, or Discontinuing Service (Docket No. 11) ___________________________________________ 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification number, are as follows: Tri-Point Oil & Gas Production Systems, LLC (2419); FR Tri-Point, LLC (3967), Tri-Point Services GP, LLC (5463), and Tri-Point Services, LLC (0783). The address of the Debtors’ headquarters is: 5555 San Felipe, Suite 1250, Houston, Texas 77056. Case 20-31777 Document 46 Filed in TXSB on 03/18/20 Page 2 of 148 Debtor’s Emergency Motion for Entry of an Order (I) Authorizing Debtors to (A) Maintain Existing Insurance Policies and Pay All Insurance Obligations Thereunder and (B) Renew, Revise, Extend, Supplement, Change, or Enter Into New Insurance Policies and (II) Directing Financial Institutions to Honor All Related Payment Requests (Docket No. 12) Debtors’ Emergency Motion for Entry of a Final Order Authorizing (I) the Debtors to Pay Certain Prepetition Taxes and Related Obligations and (II) Authorizing Financial Institutions to Receive, Process, Honor, and Pay All Checks Presented for Payment and to Honor All Funds Transfer Requests Related to Such Obligations (Docket No. 13) Debtors’ Emergency Motion to (I) Pay Prepetition Wages, Salaries, and Other Compensation, and (II) Continue Certain Employee Benefit Programs (Docket No. 14) Debtors’ Emergency Motion (I) to Sell Certain Real Property Free and Clear of Liens, Claims, and Encumbrances, (II) to Authorize the Assumption of Certain Engagement Agreements, (III) to Authorize Payment of Transaction Fees at Closing, and (IV) for Related Relief (Docket No. 19) Debtors’ Emergency Motion for Entry of Interim and Final Orders Pursuant to 11 U.S.C. §§ 105, 361, 362, 363, 364, and 507 and Fed. R. Bankr. P. 2002, 4001 and 9014 (I) Authorizing Debtors and Debtors In Possession to Obtain Postpetition Financing, (II) Authorizing the Debtors to Use Cash Collateral, (III) Granting Liens and Providing Superpriority Administrative Expense Status, (IV) Granting Adequate Protection to the Prepetition Lenders, (V) Modifying the Automatic Stay, (VI) Scheduling a Final Hearing, and (VII) Granting Related Relief (Docket No. 22) Declaration of Jeffrey Martini in Support of Chapter 11 Petitions and First Day Pleadings (Docket No. 23) Furthermore, on March 17, 2020, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on the service list attached hereto as Exhibit C: Debtors’ Emergency Motion for Interim and Final Orders (I) Authorizing the Debtors to (A) Continue Operating their Cash Management System, (B) Honor Certain Prepetition Obligations, and (C) Maintain Existing Bank Accounts and Business Forms, and (II) Granting Related Relief (Docket No. 5) Debtors’ Emergency Motion to (I) Pay Prepetition Wages, Salaries, and Other Compensation, and (II) Continue Certain Employee Benefit Programs (Docket No. 14) Case 20-31777 Document 46 Filed in TXSB on 03/18/20 Page 3 of 148 Furthermore, on March 17, 2020, at my direction and under my supervision, employees of Stretto caused the following document to be served via first-class mail on the service list attached hereto as Exhibit D, and via electronic mail on the service list attached hereto as Exhibit E: Order Granting Complex Chapter 11 Bankruptcy Case Treatment (Docket No. 9) Furthermore, on March 17, 2020, at my direction and under my supervision, employees of Stretto caused the following document to be served via first-class mail on the service list attached hereto as Exhibit F: Debtors’ Emergency Motion to (I) Approve Adequate Assurance of Payment to Utility Companies, (II) Establish Procedures to Resolve Objections by Utility Companies, and (III) Prohibit Utility Companies from Altering, Refusing, or Discontinuing Service (Docket No. 11) Furthermore, on March 17, 2020, at my direction and under my supervision, employees of Stretto caused the following document to be served via first-class mail on the service list attached hereto as Exhibit G: Debtor’s Emergency Motion for Entry of an Order (I) Authorizing Debtors to (A) Maintain Existing Insurance Policies and Pay All Insurance Obligations Thereunder and (B) Renew, Revise, Extend, Supplement, Change, or Enter Into New Insurance Policies and (II) Directing Financial Institutions to Honor All Related Payment Requests (Docket No. 12) Furthermore, on March 17, 2020, at my direction and under my supervision, employees of Stretto caused the following document to be served via first-class mail on the service list attached hereto as Exhibit H: Debtors’ Emergency Motion for Entry of a Final Order Authorizing (I) the Debtors to Pay Certain Prepetition Taxes and Related Obligations and (II) Authorizing Financial Institutions to Receive, Process, Honor, and Pay All Checks Presented for Payment and to Honor All Funds Transfer Requests Related to Such Obligations (Docket No. 13) [THIS SPACE INTENTIONALLY LEFT BLANK] Case 20-31777 Document 46 Filed in TXSB on 03/18/20 Page 4 of 148 Furthermore, on March 18, 2020, at my direction and under my supervision, employees of Stretto caused the following documents to be served via facsimile on the service list attached hereto as Exhibit I, and via electronic mail on the service list attached hereto as Exhibit J: Debtors’ Notice of Hearing on Certain Emergency Motions and Instructions for Connecting Remotely (Docket No. 25) Debtors’ Agenda of Matters Set for March 18, 2020 at 2:30 P.M. (Docket No. 26) Amended Exhibit List (Docket No. 31) Dated: March 18, 2020 /s/ Ana M. Galvan Ana M. Galvan STRETTO 410 Exchange, Suite 100 Irvine, CA 92602 Telephone: 855-422-8458 Email: [email protected] Case 20-31777 Document 46 Filed in TXSB on 03/18/20 Page 5 of 148 Exhibit A Case 20-31777 Document 46 Filed in TXSB on 03/18/20 Page 6 of 148 Exhibit A Served Via First-Class Mail Name Attention Address 1 Address 2 Address 3 City State Zip Absolute Metal Products, LLC 7208 Gessner Road Houston TX 77040 American Piping Products 825 Maryville Centre Drive Suite 310 Chesterfield MO 63017 Balon Corporation 3245 South Hattie Avenue Okc OK 73129 Britt Schmidt 711 Pifer Rd. Houston TX 77024 Colorado Office of Attorney General Ralph L. Carr Judicial Building 1300 Broadway 10th Floor Denver CO 80203 Cundo Sandblasting LLC PO Box 7163 Odessa TX 79760 Diamondback E And P LLC PO Box 380 Orange City IA 51041-0380 Energy Sales, LLC PO Box 31001-2641 Pasadena CA 91110-2641 FR XII Charlie AIV, L.P. Attn: Elisha D Graff & Nicholas Baker C/O Simpson Thacher & Bartlett LLP 425 Lexington Avenue New York NY 10017 General Air Service And Supply 1105 Zuni St. Denver CO 80204 H and E Equipment Services Inc P.O. Box 849850 Dallas TX 75284-9850 IFS North America, Inc. Dept Ch17074 Palatine IL 60055-7074 Industrial Piping Specialists PO Box 581270 Tulsa OK 74158-1270 Internal Revenue Service Department of Treasury Ogden UT 84201-0045 Internal Revenue Service Attn: Centralized Insolvency Operation 2970 Market St. Philadelphia PA 19104-5016 Internal Revenue Service Attn: Centralized Insolvency Operation PO Box 7346 Philadelphia PA 19101-7346 Internal Revenue Service Houston Division 1919 Smith Street Houston TX 77002 Iron Mule Products Inc. PO Box 238 Cassville MO 65625 Iron Pillar Energy LLC PO Box 53367 Midland TX 79710 LFS Loveland, LLC 12535 Country Road 2 Brighton CO 80603 Long Industries, Inc. 105 FCR 413 Buffalo TX 75831 Marsh Wortham PO Box 301513 Dallas TX 75303-1513 Micro Motion, Inc 22737 Network Place Chicago IL 60673-1227 Midwestern Pipeline Products 2119 S Union Ave Tulsa OK 74107 Noble Energy Inc 1205 N Lamesa Rd Midland TX 79701 Office of the U.S. Trustee 515 Rusk Street Suite 3516 Houston TX 77002 Oklahoma Office of Attorney General 313 NE 21st St Oklahoma City OK 73105 PennsylvaniaOffice of Attny General Strawberry Square 16th Floor Harrisburg PA 17120 Petrohawk Energy Corp-BHP Billiton 1360 Post Oak Blvd Houston TX 77056 Profire Energy Inc 321 S 1250 W Suite 1 Lindon UT 84042 Protech Sales, USA Corp 12340 Mead Way Littleton CO 80125-9352 Reliance Metalcenter PO Box 561450 Denver CO 80256-1450 Rocky Mountain Oilfield Warehouse 414 S.