Important Documents:
Some dates, deadlines and documents in the Debtors' Bankruptcy Cases that may be relevant to interested parties are set forth below. Click on a document's title in order to open up a PDF version of the document in a new window.
SAC II
SAC D-1, LLC
- Doc 1 – Chapter 11 Petition
- Doc 5 – List of Creditors Holding 20 Largest Unsecured Claims
- Doc 6 – List of Equity Security Holders
- Doc 31 – Debtor’s Motion for Order Directing Joint Administration of Related Chapter 11 Cases Pursuant to Fed.Rule.Bankr.P. 1015(b) and Local Rule 1015(b)
- Doc 32 – Motion of Specialty Trust, Inc. for Order Limiting Scope of Notice
- Doc 36 – Debtor’s Motion for Interim and Final Orders (a) Authorizing Debtors to Utilize Cash Collateral Pursuant to 11 U.S.C. §363 and (B) Scheduling a Final Hearing Pursuant to Bankruptcy Rule 4001
- Doc 37 – Declaration of Nello Gonfiantini
- Doc 39 – Declaration of Victoria A. Newmark
- Doc 48 – Application of Debtors and Debtors in Possession to Employ Pachulski Stang Ziehl & Jones LLP as General Bankruptcy Counsel
- Doc 49 – Declaration of Ira D. Kharasch in Support of Application of Debtor and Debtor in Possession to Employ Pachulski Stang Ziehl & Jones LLP as General Bankruptcy Counsel
- Doc 62 – Notice of Errata Regarding Exhibit A to Declaration of Nello Gonfiantini, III in Support of Debtor’s Motion for Interim and Final Orders (A) Authorizing Debtors to Utilize Cash Collateral Pursuant to 11 U.S.C. §363 and (B) Scheduling a Final Hearing Pursuant to Bankruptcy Rule 4001
- Doc 77 – Preliminary Limited Objection of Deutsche Bank National Trust Company, as Indenture Trustee to Debtors’ Motion for Interim Orders (A) Authorizing Debtors to Utilize Cash Collateral Pursuant to 11 U.S.C. §363 and (B) Scheduling a Final Hearing Pursuant to Bankruptcy Rule 4001
- Doc 79 – Objection of Equity Security Holder to Debtors’ Motion for Interim and Final Orders (A) Authorizing Debtors to Utilize Cash Collateral Pursuant to 11 U.S.C. §363 and (B) Scheduling a Final Hearing Pursuant to Bankruptcy Rule 4001
- Doc 81 – Declaration of Victoria A. Newmark in Support of Debtors Motion for Interim and Final Orders (A) Authorizing Debtors to Utilize Cash Collateral Pursuant to 11 U.S.C. §363 and (B) Scheduling a Final Hearing Pursuant to Bankruptcy Rule 4001
- Doc 82 – Supplemental Declaration of Nello Gonfiantini III in Support Debtor’s Motion for Order (A) Authorizing Debtors to Utilize Cash Collateral Pursuant to 11 U.S.C. §363 and (B) Scheduling a Final Hearing Pursuant to Bankruptcy Rule 4001
- Doc 89 – Order Directing Joint Administration of Related Chapter 11 Cases Pursuant to Fed. Rule Bankr. P. 1015(b) and Local Rule 1015(b)
- Doc 105 – Application to Employ Robison, Belaustegui, Sharp & Low as Special Counsel
- Doc 106 – Declaration of F. Dearmond Sharp in Support of Application to Employ Robison, Belaustegui, Sharp & Low as Special Counsel
- Doc 107 – Motion for Order Pursuant to 11 U.S.C. §§ 105(a) and 331, Fed. R. Bankr. P. 2016 Authorizing and Establishing Procedures for Interim Compensation and Reimbursement of Expenses of Professionals
- Doc 109 – Declaration of Sallie B. Armstrong in Support of Application to Employ Downey Brand as Nevada Counsel for Debtors
- Doc 113 – Interim Order (A) Authorizing Debtors to Utilize Cash Collateral Pursuant to 11 U.S.C. §363; and (B) Scheduling a Final Hearing Pursuant to Bankruptcy Rule 4001
- Doc 133 – Statement of Position and Reservation of Rights Regarding Management Fees
- Doc 137 – Application for Order Authorizing and Approving the Employment of McDonald Carano Wilson LLP as Attorneys for the Official Committee of Equity Security Holders Nunc Pro Tunc as of May 24, 2010
- Doc 139 – Limited Objection of Official Committee of Equity Security Holders to Debtors’ Application to Employ New West
- Doc 140 – Limited Objection of Official Committee of Equity Security Holders to Debtors’ Motion for Interim and Final Orders (A) Authorizing Debtors to Utilize Cash Collateral Pursuant to 11 U.S.C. §363 and (B) Scheduling a Final Hearing Pursuant to Bankruptcy Rule 4001
- Doc 147 – Debtors’ Supplemental Brief in Support of the Debtors’ Request for Authority to Use Cash Collateral and to Continue to Honor Prepetition Management Agreement
- Doc 148 – Declaration of Stephen V. Novacek in Support of Debtors’ Supplemental Brief in Support of Request for Authority to Use Cash Collateral and to Continue to Honor Obligations Under Prepetition Management Agreement
- Doc 154 – Emergency Motion to Continue Deposition of Specialty Trust, Inc
- Doc 174 – Second Interim Order (A) Authorizing Debtors to Utilize Cash Collateral Pursuant to 11 U.S.C. § 363; and (B) Scheduling a Further Interim Hearing Pursuant to Bankruptcy Rule 4001
- Doc 178 – Notice of Entry of Order
- Doc 187 – Motion of Official Committee of Equity Security Holders, Pursuant to 11 U.S.C. §§ 105(a), 1102(b)(3) and 1103(c), for Nunc Pro Tunc Order Clarifying Requirements to (1) Provide Access to Information, and (2) Solicit and Receive Comments from Equity Security Holders
- Doc 191 – Section 341(a) Meeting Minutes
- Doc 195 – Debtors’ Application for an Order, Pursuant to 11 U.S.C. §§327(a) and 328(a), Authorizing Employment and Retention of Imperial Capital, LLC as Financial Advisor and Investment Banker, Effective June 14, 2010
- Doc 196 – Declaration of Marc A. Bilbao in Support of the Debtors’ Application for Order Authorizing the Employment and Retention of Imperial Capital, LLC, as Financial Advisor and Investment Banker to the Debtor, Effective June 14, 2010
- Doc 205 – Application Pursuant to Fed. R. Bankr. P. 2014(a) for Order Under Section 1103 of the Bankruptcy Code Authorizing the Employment and Retention of FTI Consulting, Inc. as Financial Advisors to the Official Committee of Equity Security Holders Nunc Pro Tunc to June 11, 2010
- Doc 206 – Affidavit in Support of the Application for an Order Authorizing Employment and Retention of FTI Consulting, Inc. as Financial Advisors for the Official Committee of Equity Security Holders
- Doc 217 – Order Pursuant to 11 U.S.C. §§ 105(a) and 331, Fed. R. Bankr. P. 2016 Authorizing and Establishing Procedures for Interim Compensation and Reimbursement of Expenses of Professionals
- Doc 219 – Order on Application to Employ Downey Brand LLP as Nevada Counsel for Debtors
- Doc 220 – Order on Application of Debtors and Debtors in Possession to Employ Pachulski Stang Ziehl & Jones LLP as General Bankruptcy Counsel
- Doc 231 – Deutsche Bank National Trust Company’s Status Report Re Cash Collateral Motion
- Doc 235 – Notice of Third Amended Budget
- Doc 236 – Status Report Regarding Use of Cash Collateral
- Doc 237 – Reply of Debtors Objection of Ledgemont to Employment of Imperial Capital
- Doc 239 – Declaration of Ira D. Kharasch in Support of Debtor’s Reply to Ledgemont Objection to Employment of Imperial Capital
- Doc 244 – Objection of Ledgemont Capital Group LLC to Debtors’ Application for an Order Pursuant to 11 U.S.C. §§ 327(a) and 328(a), Authorizing Employment and Retention of Imperial Capital, LLC as Financial Advisor and Investment Banker, Effective June 14, 2010
- Doc 259 – Order Granting Motion of Official Committee of Equity Security Holders Pursuant to 11 U.S.C. §§ 105(a), 1102(b)(3) and 1103(c), for Nunc Pro Tunc Order Clarifying Requirements to (1) Provide Access to Information, and (2) Solicit and Receive Comments from Equity Security Holders
- Doc 267 – Official Committee of Equity Holders Notice of Meeting
- Doc 270 – Order Authorizing the Employment of McDonald Carano Wilson LLP as Counsel for the Official Committee of Equity Security Holders Effective as of May 24, 2010
- Doc 271 – Order Authorizing Retention of FTI Consulting, Inc. as Financial Advisors to the Official Committee of Equity Security Holders
- Doc 272 – Third Interim Order Authorizing Debtors to Utilize Cash Collateral Pursuant to 11 U.S.C. §363
- Doc 280 – Deutsche Bank National Trust Company’s Status Report Re Cash Collateral Motion
- Doc 283 – Notice of Fourth Amended Budget
- Doc 289 – Monthly Fee Application for Interim Payment of Compensation and Reimbursement of Expenses of Pachulski Stang Ziehl & Jones LLP for the Period of April 20, 2010 Through April 30, 2010
- Doc 293 – Order Granting Debtors’ Application for an Order, Pursuant to 11 U.S.C. §§ 327(a) and 328(a), Authorizing Employment and Retention of Imperial Capital, LLC as Financial Advisor and Investment Banker Effective June 14, 2010
- Doc 300 – Notice of First Monthly Interim Fee and Expense Statement for the Period of May 25, 2010 through June 30, 2010 of McDonald Carano Wilson LLP, Counsel to the Official Committee of Equity Security Holders
- Doc 304 – Application to Employ Moss Adams LLP as Accountants, Auditors, and Tax Return Preparers
- Doc 306 – Declaration of Tullus Miller in Support of Application to Employ Moss Adams LLP as Accountants, Auditors, and Tax Return Preparers
- Doc 307 – Debtors’ Motion for Order Pursuant to Section 1121(D) of the Bankruptcy Code Extending the Time Periods During Which the Debtors Have the Exclusive Right to File a Plan of Reorganization and to Solicit Acceptances Thereof
- Doc 309 – Notice of Hearing on (1) Debtors’ Motion for Order Pursuant to Section 1121(D) of the Bankruptcy Code Extending the Time Periods During Which the Debtors Have the Exclusive Right to File A Plan of Reorganization and to Solicit Acceptance Thereof; and (2) Motion for Order Further Limiting Scope of Notice
Doc 316 – Notice of Second Monthly Interim Fee and Expense Statement for the Period of May 1, 2010 through May 31, 2010 of Pachulski Stang Ziehl & Jones LLP, General Bankruptcy Counsel to the Debtors and Debtors in Possession - Doc 325 – Notice of Third Monthly Interim Fee and Expense Statement for the Period of June 1, 2010 through June 30, 2010 of Pachulski Stang Ziehl & Jones LLP, General Bankruptcy Counsel to the Debtors and Debtors in Possession
- Doc 340 – Notice of First Interim Fee and Expense Statement for the Period of April 21, 2010 through May 31, 2010 of Downey Brand, Local Bankruptcy Counsel to the Debtors
- Doc 346 – Notice of Second Interim Fee and Expense Statement for the Period of June 1, 2010 through June 30, 2010 of Downey Brand, Local Bankruptcy Counsel to the Debtors
- Doc 347 – Notice of First Monthly Interim Fee and Expense Statement for the Period of April 20, 2010 through July 31, 2010 of Tobin & Tobin, Special Counsel to the Debtor
- Doc 350 – Objection of Equity Security Holder to Debtor’s Motion for Interim and Final Orders (A) Authorizing Debtors to Utilize Cash Collateral Pursuant to 11 U.S.C. §363 and (B) Scheduling a Final Hearing Pursuant to Bankruptcy Rule 4001
- Doc 352 – Stipulation Regarding Debtor’s Motion to Extend Exclusivity
- Doc 358 – Joinder in Objection of Equity Security Holder to Debtor’s Motion for Interim and Final Orders (A) Authorizing Debtors to Utilize Cash Collateral Pursuant to 11 U.S.C. §363 and (B) Scheduling a Final Hearing Pursuant to Bankruptcy Rule 4001
- Doc 361 – Notice of Second Monthly Interim Fee and Expense Statement for the period of July 1, 2010 Through July 31, 2010 of McDonald Carano Wilson LLP, Counsel to the Official Committee of Equity Security Holders
- Doc 365 – Joinder in Objection of Equity Security Holder to Debtors’ Motion for Interim and Final Orders (A) Authorizing Debtors to Utilize Cash Collateral Pursuant to 11 U.S.C. §363 and (B) Scheduling a Final Hearing Pursuant to Bankruptcy Rule 4001
- Doc 366 – Joinder in Objection of Equity Security Holder to Debtors’ Motion for Interim and Final Orders (A) Authorizing Debtors to Utilize Cash Collateral Pursuant to 11 U.S.C. §363 and (B) Scheduling a Final Hearing Pursuant to Bankruptcy Rule 4001
- Doc 367 - Joinder in Objection of Equity Security Holder to Debtors’ Motion for Interim and Final Orders (A) Authorizing Debtors to Utilize Cash Collateral Pursuant to 11 U.S.C. §363 and (B) Scheduling a Final Hearing Pursuant to Bankruptcy Rule 4001
- Doc 370 – Notice of Fifth Amended Budget
- Doc 373 – Errata Notice Regarding Notice of Fifth Amended Budget
- Doc 374 – Second Status Report Regarding Use of Cash Collateral
- Doc 376 – Reply to Objection of Equity Security Holder to Debtor’s Motion for Interim and Final Orders (A) Authorizing Debtors to Utilize Cash Collateral Pursuant to 11 U.S.C. §363 and (B) Scheduling a Final Hearing Pursuant to Bankruptcy Rule 4001
- Doc 381 – Notice of First Interim Fee and Expense Statement for the Period June 14, 2010 through August 31, 2010
- Doc 383 – Joinder in Objection of Equity Security Holder to Debtors’ Motion for Interim and Final Orders (A) Authorizing Debtors to Utilize Cash Collateral Pursuant to 11 U.S.C. §363 and (B) Scheduling a Final Hearing Pursuant to Bankruptcy Rule 4001
- Doc 379 – Notice of First Interim Fee and Expense Statement for the Period June 14, 2010 through August 31, 2010
- Doc 384 – Notice of Second Monthly Interim Fee and Expense Statement for the Period of August 1, 2010 through August 31, 2010 of Tobin & Tobin, Special Counsel to the Debtor
- Doc 388 – Order Extending the Time Periods During Which the Debtors Have the Exclusive Right to File a Plan of Reorganization and to Solicit Acceptances Thereof
- Doc 389 - Application for an Order, Authorizing Employment and Retention of G. Grant Lyon as Chief Restructuring Officer
- Doc 393 – Amended Application for an Order Authorizing Employment and Retention of G. Grant Lyon as Chief Restructuring Officer
- Doc 394 – Declaration of G. Grant Lyon in Support of Amended Application for an Order Authorizing Employment and Retention of G. Grant Lyon as Chief Restructuring Officer
- Doc 396 – Official Committee of Equity Holders Notice of Meeting
- Doc 397 – Certificate Regarding Downey Brand LLP’s First Interim Fee and Expense Statement for the Period of April 21, 2010 through May 31, 2010
- Doc 398 – Certificate Regarding Downey Brand LLP’s Second Interim Fee and Expense Statement for the Period of June 1, 2010 through June 30, 2010
- Doc 402 – Summary of Financial Status of Specialty Trust
- Doc 403 – Summary of Financial Status of Specialty Acquisition Corp.
- Doc 404 – Summary of Financial Status of SAC D-1
- Doc 405 – Summary of Financial Status of SAC II
- Doc 408 – Certificate Regarding Tobin & Tobin’s First Monthly Interim Fee and Expense Statement for the Period of April 20, 2010 Through July 31, 2010
- Doc 409 – Certificate Regarding Pachulski Stang Ziehl & Jones’ Third Monthly Interim Fee Application for the Period June 1, 2010 through June 30, 2010
- Doc 410 – Notice of Fourth Monthly Interim Fee and Expense Statement for the Period of July 1, 2010 through July 31, 2010 of Pachulski Stang Ziehl & Jones LLP, General Bankruptcy Counsel to the Debtors and Debtors in Possession
- Doc 411 – Notice of First Interim Fee and Expense Statement for the Period of April 20, 2010 through August 31, 2010 of Robinson, Belaustegui, Sharp and Low
- Doc 414 – Notice of Third Monthly Interim Fee and Expense Statement for the Period of August 1, 2010 through August 31, 2010 of McDonald Carano Wilson LLP, Counsel to the Official Committee of Equity Security Holders
- Doc 417 – Notice of Fifth Monthly Interim Fee and Expense Statement for the Period of August 1, 2010 through August 31, 2010 of Pachulski Stang Ziehl & Jones LLP, General Bankruptcy Counsel to the Debtors and Debtors in Possession
- Doc 419 – Order Authorizing Employment and Retention of G. Grant Lyon as Chief Restructuring Officer
- Doc 421 – Objection Regarding Application for Attorneys’ Fees of Robison, Belaustegui Sharp and Low for the Period through 8/25/2010
- Doc 439 - Fourth Interim Order Authorizing Debtors to Utilize Cash Collateral Pursuant to II U.S.C. 363
- Doc 425 – Notice of Third Interim Fee and Expense Statement for the Period of July 1, 2010 through July 31, 2010 of Downey Brand LLP
- Doc 428 – Certificate Regarding Imperial Capital, LLC’s Notice of First Interim Fee and Expense Statement for the Period of June 14, 2010 through August 31, 2010
- Doc 429 – Notice of Fourth Interim Fee and Expense Statement for the Period of August 1, 2010 through August 31, 2010 of Downey Brand LLP
- Doc 433 – Second Motion for Order Pursuant to Section 1121(D) of the Bankruptcy Code Extending the Time Periods During Which the Debtors Have the Exclusive Right to File a Plan of Reorganization and to Solicit Acceptances Thereof (Except as to the Official Committee of Equity Security Holders)
- Doc 434 – Notice of Hearing on Second Motion for Order Pursuant to Section 1121(D) of the Bankruptcy Code Extending the Time Periods During Which the Debtors Have the Exclusive Right to File a Plan of Reorganization and to Solicit Acceptances Thereof (Except as to the Official Committee of Equity Security Holders)
- Doc 436 – Third Status Report Regarding Use of Cash Collateral
Doc 438 – Hearing Scheduled 12/1/2010 at 10:00 AM at GWZ-Courtroom 3, Young Bldg. - Doc 441 – Notice of Fourth Monthly Interim Fee and Expense Statement for the Period of September 1, 2010 through September 30, 2010 of McDonald Carano Wilson LLP, Counsel to the Official Committee of Equity Security Holders
- Doc 442 – Declaration of Raymond J. Poncia in Support of Fourth Interim Fee Statement of McDonald Carano Wilson
- Doc 444 – Certificate Regarding Pachulski Stang Ziehl & Jones’ Fourth Monthly Interim Fee Application for the Period July 1, 2010 through July 31, 2010
- Doc 445 – Certificate Regarding Pachulski Stang Ziehl & Jones’ Fifth Monthly Interim Fee Application for the Period August 1, 2010 through August 31, 2010
- Doc 446 – Notice of Third Monthly Interim Fee and Expense Statement for the Period of September 1, 2010 through September 30, 2010 of Tobin & Tobin, Special Counsel to the Debtor
- Doc 449 – Amended Certificate Regarding Notice of Second Monthly Interim Fee and Expense Statement for the Period May 1, 2010 through May 31, 2010 of Pachulski Stang Ziehl & Jones LLP
- Doc 452 – Notice of Sixth Monthly Interim Fee and Expense Statement for the Period of September 1, 2010 through September 30, 2010 of Pachulski Stang Ziehl & Jones LLP, General Bankruptcy Counsel to the Debtors and Debtors in Possession
- Doc 453 – Certificate of Service of Sixth Monthly Interim Fee and Expense Statement for the Period of September 1, 2010 through September 30, 2010 of Pachulski Stang Ziehl & Jones LLP, General Bankruptcy Counsel to the Debtors and Debtors in Possession
- Doc 454 – Certificate Regarding Notice of First Interim Fee and Expense Statement for the Period April 20, 2010 through August 31, 2010 of Robinson, Belaustegui, Sharp and Low
- Doc 456 – Certificate Regarding Downey Brand LLP’s Third Interim Fee Application for the Period July 1, 2010 through July 31, 2010
- Doc 457 – Certificate Regarding Downey Brand LLP’s Fourth Interim Fee Application for the Period August 1, 2010 through August 31, 2010
- Doc 459 – Notice of Second Interim fee and Expense Statement for the Period of August 26, 2010 through October 25, 2010 of Robinson, Belaustegui, Sharp and Low
- Doc 460 – Notice of Fifth Interim Fee and Expense Statement for the Period of September 1, 2010 through September 30, 2010 of Downey Brand LLP
- Doc 461 – Notice of Sixth Interim Fee and Expense Statement for the Period of October 31, 2010 of Downey Brand LLP
- Doc 465 – First Interim Fee Application of McDonald Carano Wilson LLP, Counsel for the Official Committee of Equity Security Holders for the Period of May 25, 2010 through October 31, 2010
- Doc 466 – Declaration of Kaaran Thomas, Esq. in Support of First Interim Fee Application of McDonald Carano Wilson LLP, Counsel for the Official Committee of Equity Security Holders (May 25, 2010 – October 31, 2010)
- Doc 467 – Downey Brand LLP’s first Interim Application for Compensation and Reimbursement of Expenses for the Interim Fee Period Ending October 31, 2010
- Doc 469 – Notice of Hearing on First Interim Applications for Compensation and Reimbursement of Expenses for the Interim Fee Period Ending October 31, 2010
- Doc 470 – Certificate of Service by Kaaran Thomas Regarding McDonald Carano Wilson LLP First Interim Fee Application
- Doc 475 – Declaration of Raymond J. Poncia In Support of First Interim Fee Application of McDonald Carano Wilson LLP
- Doc 477 – Notice of Meeting of Equity Holders
- Doc 479 – Notice of Fourth Monthly Interim Fee and Expense Statement for the Period of October 1, 2010 through October 31, 2010 of Tobin & Tobin, Special Counsel to the Debtor
- Doc 480 – Notice of Second Interim Fee and Expense Statement for the Period September 1, 2010 through October 31, 2010 for Imperial Capital, LLC
- Doc 481 – Certificate of Service of Notice of Fourth Interim Fee and Expense Statement of Tobin & Tobin
- Doc 482 – Certificate of Service of Notice of Second Interim Fee and Expense Statement for Imperial Capital
- Doc 483 – Objection to Debtors’ Second Motion to Extend Exclusivity (Except as to the Official Committee of Equity Security Holders)
- Doc 484 – First Interim Application of FTI Consulting, Inc. as Financial Advisors to the Official Committee of Equity Security Holders for Allowance of Compensation and Reimbursement of Expenses
- Doc 485 – First Interim Application for Compensation and Reimbursement of Expenses for the Interim Fee Period Ending October 31, 2010 for Tobin & Tobin
- Doc 486 – Declaration of Phillip R. Pollock in Support of First Interim Application for Compensation and Reimbursement of Expenses for the Interim Fee Period Ending October 31, 2010 for Tobin & Tobin
- Doc 487 – First Interim Application for Compensation and Reimbursement of Expenses for the Interim Fee Period Ending October 25, 2010 for Robinson, Belaustegui, Sharp & Low
- Doc 488 – Declaration of F. DeArmond Sharp in Support of First Interim Application for Compensation and Reimbursement of Expenses for the Interim Fee Period Ending October 25, 2010 for Robinson, Belaustegui, Sharp & Low
- Doc 489 – Imperial Capital, LLC’s First Interim Application for Compensation and Reimbursement of Expenses for the Interim Fee Period Ending October 31, 2010
- Doc 490 – Declaration of Marc A. Bilbao In Support of Imperial Capital, LLC’s First Interim Application for Compensation and Reimbursement of Expenses
- Doc 491 – Declaration of Michael Tucker In Support of First Interim Application of FTI Consulting, Inc., as Financial Advisor to the Official Committee of Equity Security Holders (June 11, 2010 – September 30, 2010)
- Doc 492 – Pachulski Stang Ziehl & Jones LLP’s First Interim Application for Compensation and Reimbursement of Expenses for the Interim Fee Period Ending September 30, 2010
- Doc 493 – Declaration of Ira D. Kharasch In Support of Pachulski Stang Ziehl & Jones LLP’s First Interim Application for Compensation and Reimbursement of Expenses for the Interim Fee Period Ending September 30, 2010
- Doc 494 – Notice of Hearing on First Interim Application for Compensation and Reimbursement of Expenses for the Interim fee Period Ending October 31, 2010
- Doc 495 – Debtors’ Motion for Entry of Order (1) Authorizing Postpetition Financing Pursuant to 11 U.S.C. §§ 105; 363(c) and 364(c) and (d); (2) Authorizing Use of Cash Collateral; (3) Granting Security Interests and Superpriority Claims; and (4) Granting Related Relief
- Doc 496 – Declaration of G. Grant Lyon In Support of Debtors’ Motion for Entry of Order (1) Authorizing Postpetition Financing Pursuant to 11 U.S.C. §§ 105; 363(c) and 364(c) and (d); (2) Authorizing Use of Cash Collateral; (3) Granting Security Interests and Superpriority Claims; and (4) Granting Related Relief
- Doc 497 – Declaration of Nello Gonfiantini III In Support of Debtors’ Motion for Entry of Order (1) Authorizing Postpetition Financing Pursuant to 11 U.S.C. §§ 105; 363(c) and 364(c) and (d); (2) Authorizing Use of Cash Collateral; (3) Granting Security Interests and Superpriority Claims; and (4) Granting Related Relief
- Doc 498 – Declaration of Marc A. Bilbao In Support of Debtors’ Motion for Entry of Order (1) Authorizing Postpetition Financing Pursuant to 11 U.S.C. §§ 105; 363(c) and 364(c) and (d); (2) Authorizing Use of Cash Collateral; (3) Granting Security Interests and Superpriority Claims; and (4) Granting Related Relief
- Doc 499 – Declaration of Charles E. Jack IV In Support of Debtors’ Motion for Entry of Order (1) Authorizing Postpetition Financing Pursuant to 11 U.S.C. §§ 105; 363(c) and 364(c) and (d); (2) Authorizing Use of Cash Collateral; (3) Granting Security Interests and Superpriority Claims; and (4) Granting Related Relief
- Doc 500 – Declaration of Tio S. Defederico In Support of Debtors’ Motion for Entry of Order (1) Authorizing Postpetition Financing Pursuant to 11 U.S.C. §§ 105; 363(c) and 364(c) and (d); (2) Authorizing Use of Cash Collateral; (3) Granting Security Interests and Superpriority Claims; and (4) Granting Related Relief
- Doc 501 – Declaration of Dan A. Paulus In Support of Debtors’ Motion for Entry of Order (1) Authorizing Postpetition Financing Pursuant to 11 U.S.C. §§ 105; 363(c) and 364(c) and (d); (2) Authorizing Use of Cash Collateral; (3) Granting Security Interests and Superpriority Claims; and (4) Granting Related Relief
- Doc 503 – Declaration of Lucas P. Still In Support of Debtors’ Motion for Entry of Order (1) Authorizing Postpetition Financing Pursuant to 11 U.S.C. §§ 105; 363(c) and 364(c) and (d); (2) Authorizing Use of Cash Collateral; (3) Granting Security Interests and Superpriority Claims; and (4) Granting Related Relief
- Doc 504 – Declaration of Dennis P. Farr In Support of Debtors’ Motion for Entry of Order (1) Authorizing Postpetition Financing Pursuant to 11 U.S.C. §§ 105; 363(c) and 364(c) and (d); (2) Authorizing Use of Cash Collateral; (3) Granting Security Interests and Superpriority Claims; and (4) Granting Related Relief
- Doc 505 – Declaration of Joseph S. Cambell In Support of Debtors’ Motion for Entry of Order (1) Authorizing Postpetition Financing Pursuant to 11 U.S.C. §§ 105; 363(c) and 364(c) and (d); (2) Authorizing Use of Cash Collateral; (3) Granting Security Interests and Superpriority Claims; and (4) Granting Related Relief
- Doc 506 – Declaration of Raymond L. Dozier In Support of Debtors’ Motion for Entry of Order (1) Authorizing Postpetition Financing Pursuant to 11 U.S.C. §§ 105; 363(c) and 364(c) and (d); (2) Authorizing Use of Cash Collateral; (3) Granting Security Interests and Superpriority Claims; and (4) Granting Related Relief
- Doc 507 – Notice of Hearing on Debtors’ Motion for Entry of Order (1) Authorizing Postpetition Financing Pursuant to 11 U.S.C. §§ 105; 363(c) and 364(c) and (d); (2) Authorizing Use of Cash Collateral; (3) Granting Security Interests and Superpriority Claims; and (4) Granting Related Relief
- Doc 508 – Certificate of No Objection Regarding Third Monthly Interim Fee and Expense Statement for the Period of August 1, 2010 through August 31, 2010 of McDonald Carano Wilson LLP
- Doc 509 – Certificate of No Objection Regarding Fourth Monthly Interim Fee and Expense Statement for the Period of September 1, 2010 through September 30, 2010 of McDonald Carano Wilson LLP
- Doc 517 – Ex Parte Motion to File Under Seal Exhibit D to Debtors’ Motion for Entry of Order (1) Authorizing Postpetition Financing Pursuant to 11 U.S.C. §§ 105; 363(c) and 364(c) and (d); (2) Authorizing Use of Cash Collateral; (3) Granting Security Interests and Superpriority Claims; and (4) Granting Related Relief
- Doc 528 – Reply to “Joint Limited Objection and Reservation of Rights with Respect to the Allowance of the Equity Committee’s Professional Fee Applications”
- Doc 529 – Certificate Regarding Pachulski Stang Ziehl & Jones’ Sixth Monthly Interim Fee Application for the Period September 1, 2010 through September 30, 2010
- Doc 530 – Certificate Regarding Robinson, Belaustegui, Sharp and Low’s Notice of Second Interim Fee and Expense Statement for the Period August 26, 2010 through October 25, 2010
- Doc 531 – Certificate Regarding Downey Brand LLP’s Fifth Interim Fee Application for the Period September 1, 2010 through September 30, 2010
- Doc 532 – Certificate Regarding Downey Brand LLP’s Sixth Interim Fee Application for the Period October 1, 2010 through October 31, 2010
- Doc 535 – Debtors’ Notice of Potential Changes to DIP Financing Under DIP Priming Motion
- Doc 541 – Stipulation and Order Regarding Opposition to and Hearing on Debtors’ Motion for Entry of Order (1) Authorizing Postpetition Financing Pursuant to 11 U.S.C. §§ 105; 363(c) and 364(c) and (d); (2) Authorizing Use of Cash Collateral; (3) Granting Security Interests and Superpriority Claims; and (4) Granting Related Relief
- Doc 544 – Taberna Preferred Funding VIII, Ltd.’s Joinder in Objection to Debtors’ Second Motion to Extend Exclusivity (Except as to the Official Committee of Equity Security Holders)
- Doc 545 – Amended Stipulation and Order Regarding Opposition to and Hearing on Debtors’ Motion for Entry of Order (1) Authorizing Postpetition Financing Pursuant to 11 U.S.C. §§ 105; 363(c) and 364(c) and (d); (2) Authorizing Use of Cash Collateral; (3) Granting Security Interests and Superpriority Claims; and (4) Granting Related Relief
- Doc 550 - Amended Stipulation and Order Regarding Opposition to and Hearing on Debtors’ Motion for Entry of Order (1) Authorizing Postpetition Financing Pursuant to 11 U.S.C. §§ 105; 363(c) and 364(c) and (d); (2) Authorizing Use of Cash Collateral; (3) Granting Security Interests and Superpriority Claims; and (4) Granting Related Relief
- Doc 551 – US Trustee’s Objection to Pachulski Stang Ziehl & Jones LLP’s First Interim Application for Compensation and Reimbursement of Expenses for the Interim Fee Period Ending September 30, 2010
- Doc 552 – Deutsche Bank National Trust Company as Indenture Trustee’s Limited Opposition to Motion for Entry of Order (1) Authorizing Postpetition Financing, Etc.
- Doc 554 – US Trustee’s Objection to Tobin & Tobin’s First Interim Application for Compensation and Reimbursement of Expenses for the Interim Fee Period Ending September 30, 2010
- Doc 555 – Debtors’ Status Report on Their Motion for Entry of Order (1) Authorizing Postpetition Financing Pursuant to 11 U.S.C. §§ 105; 363(c) and 364(c) and (d); (2) Authorizing Use of Cash Collateral; (3) Granting Security Interests and Superpriority Claims; and (4) Granting Related Relief
- Doc 558 – Notice of Appearance of Cochise County Treasurer
- Doc 563 – US Trustee’s Objection to Imperial Capital LLC’s First Interim Application for Compensation and Reimbursement of Expenses for the Interim Fee Period Ending October 31, 2010
- Doc 564 – Reply to US Trustee’s Objection to Tobin & Tobin’s First Interim Application for Compensation and Reimbursement of Expenses for the Interim Fee Period Ending September 30, 2010
- Doc 621 – Certificate of No Objection Regarding Monthly Interim Fee and Expense Statement for the Period of November 1, 2010 through November 30, 2010 of McDonald Carano Wilson LLP
- Doc 622 – Certificate of No Objection Regarding Monthly Interim Fee and Expense Statement for the Period of October 1, 2010 through October 31, 2010 of FTI Consulting
- Doc 623 – Certificate of No Objection Regarding Monthly Interim Fee and Expense Statement for the Period of November 1, 2010 through November 30, 2010 of FTI Consulting
- Doc 626 – Third Motion for Order Pursuant to Section 1121(D) of the Bankruptcy Code Extending the Time Periods During Which the Debtors Have the Exclusive Right to File a Plan of Reorganization and to Solicit Acceptances Thereof
- Doc 627 – Notice of Hearing on Third Motion for Order Pursuant to Section 1121(D) of the Bankruptcy Code Extending the Time Periods During Which the Debtors Have the Exclusive Right to File a Plan of Reorganization and to Solicit Acceptance Thereof
- Doc 632 – Notice of Eighth Monthly Interim Fee and Expense Statement for the Period of November 1, 2010 through November 30, 2010 of Pachulski Stang Ziehl & Jones LLP, General Bankruptcy Counsel to the Debtors and Debtors in Possession
- Doc 634 – Certificate Regarding Downey Brand LLP’s Seventh Interim Fee Application for the Period November 1, 2010 through November 30, 2010
- Doc 635 – Notice of Sixth Monthly Interim Fee and Expense Statement for the Period of December 1, 2010 through December 31, 2010 of McDonald Carano Wilson LLP, Counsel to the Official Committee of Equity Security Holders
- Doc 640 – Notice of Monthly Interim Fee and Expense Statement for the Period of December 1, 2010 through December 31, 2010 of FTI Consulting, Inc., Financial Advisor to the Official Committee of Equity Security Holders
- Doc 644 – Notice of Ninth Monthly Interim Fee and Expense Statement for the Period of December 1, 2010 through December 31, 2010 of Pachulski Stang Ziehl & Jones LLP, General Bankruptcy Counsel to the Debtors and Debtors in Possession
- Doc 646 – Notice of Limited Service List
- Doc 647 – Notice of Sixth Monthly Interim Fee and Expense Statement for the Period of December 1, 2010 through December 31, 2010 of Tobin & Tobin, Special Counsel to the Debtor
- Doc 649 – Notice of Eighth Interim Fee and Expense Statement for the Period of December 1, 2010 through December 31, 2010 of Downey Brand LLP
- Doc 652 – Monthly Operating Report (December) for Specialty Trust, Inc.
- Doc 653 – Monthly Operating Report (December) for SAC D-1
- Doc 654 – Monthly Operating Report (December) for Specialty Acquisition Corp.
- Doc 655 – Monthly Operating Report (December) for SAC II
- Doc 656 – Debtor’s Motion for Entry of Order Authorizing (A) Amendments to the Budget, and (B) Modification of Terms of Loans to C.I.C. & S, LLC
- Doc 657 – Declaration of Nello Gonfiantini III In Support of Debtors’ Motion for Entry of Order Authorizing the Debtors to Amend their Budget
- Doc 658 – Notice of Hearing on Debtors’ Motion for Entry of Order Authorizing the Debtors to Amend their Budget
- Doc 662 – Official Committee of Equity Holders Notice of Stockholders Meeting
- Doc 664 – Notice of Third Interim Fee and Expense Statement for the Period of October 26, 2010 through January 26, 2011 of Robinson, Belaustegui, Sharp and Low
- Doc 666 – Certificate of No Objection Regarding Monthly Interim Fee and Expense Statement for the Period of December 1, 2010 through December 31, 2010 of McDonald Carano Wilson LLP
- Doc 668 – Certificate of No Objection Regarding Monthly Interim Fee and Expense Statement for the Period of December 1, 2010 through December 31, 2010 of FTI Consulting, Inc.
- Doc 670 – Opposition to City National Bank’s Motion to Vacate Stay
- Doc 671 – Debtors’ Evidentiary Objections to the Declaration of Susan Pucciarelli and Exhibit 1 Thereto, Filed in Support of City National Bank’s Motion to Vacate Stay
- Doc 672 – Declaration of Joseph S. Campbell in Support of Opposition to City National Bank’s Motion to Vacate Stay
- Doc 674 – Certificate Regarding Pachulski Stang Ziehl & Jones’ Eighth Monthly Interim Fee Application for the Period November 1, 2010 through November 30, 2010
- Doc 675 – Certificate Regarding Pachulski Stang Ziehl & Jones’ Ninth Monthly Interim Fee Application for the Period December 1, 2010 through December 31, 2010
- Doc 676 – Certificate Regarding Tobin & Tobin’s Sixth Monthly Interim Fee and Expense Statement for the Period of December 1, 2010 through December 31, 2010
- Doc 677 – Notice of Removal of Tom Gonzales
- Doc 678 – Notice of Seventh Monthly Interim Fee and Expense Statement for the Period of January 1, 2011 through January 31, 2011 of Tobin & Tobin, Special Counsel to the Debtor
- Doc 681 – Notice of Seventh Monthly Interim Fee and Expense Statement for the Period of January 1, 2011 through January 31, 2011 of McDonald Carano Wilson LLP, Counsel to the Official Committee of Equity Security Holders
- Doc 682 – Declaration of Deric Debenedetti in Support of Seventh Interim Fee Statement of McDonald Carano Wilson LLP
- Doc 683 Stipulation regarding debtors' motion for entry of order authorizing (A) amendments to the budget, and (B) modification of terms of loans to C.I.C. & S, LLC [Docket #656]
- Doc 684 – Certificate Regarding Downey Brand LLP’S Eighth Interim Fee Applicatoin for the Period December 1, 2010 through December 31, 2010
- Doc 685 – Defendant Wells Fargo Bank, N.A.’S Motion to Dismiss
- Doc 686 – Certificate of Mailing of Tom Gonzales
- Doc 687 – Notice of Change of Address of Debtors
- Doc 688 – Certificate Regarding Robinson, Belaustegui, Sharp and Low’s Notice of Third Interim Fee and Expense Statement for the Period October 26, 2010 through January 26, 2011
- Doc 690 – Certificate of Service for Seventh Monthly Interim Fee and Expense Statement of McDonald Carano Wilson LLP, Counsel to the Official Committee of Equity Security Holders
- Doc 691 – Certificate of Service for the Stipulation Regarding Debtors’ Motion for Entry of Order Authorizing (A) Amendments to the Budget, and (B) Modification of Terms of Loans to C.I.C. & S, LLC
- Doc 692 – Notice of Monthly Interim Fee and Expense Statement for the Period of January 1, 2011 through January 31, 2011 of FTI Consulting, Inc., Financial Advisor to the Official Committee of Equity Security Holders
- Doc 693 – Declaration of Deric Debenedetti in Support of Monthly Interim Fee Statement of FTI Consulting for the Period of January 1, 2011 through January 31, 2011
- Doc 694 – Certificate of Service for Notice of Monthly Interim Fee and Expense Statement for the Period of January 1, 2011 through January 31, 2011 of FTI Consulting, Inc., Financial Advisor to the Official Committee of Equity Security Holders
- Doc 695 – Notice of Ninth Interim Fee and Expense Statement for the Period of January 1, 2011 through February 28, 2011 of Downey Brand LLP
- Doc 701 – Notice of Monthly Interim Fee and Expense Statement for the Period of February 1, 2011 through February 28, 2011 of FTI Consulting, Inc., Financial Advisor to the Official Committee of Equity Security Holders
- Doc 703 – Notice of Eighth Monthly Interim Fee and Expense Statement for the Period of February 1, 2011 through February 28, 2011 of McDonald Carano Wilson LLP, Counsel to the Official Committee of Equity Security Holders
- Doc 705 – Order Regarding Motion to Vacate Stay Filed by City National Bank
- Doc 712 – Certificate of No Objection Regarding Monthly Interim Fee and Expense Statement for the Period of January 1, 2011 through January 31, 2011 of McDonald Carano Wilson LLP
- Doc 714 – Notice of Eighth Monthly Interim Fee and Expense Statement for the Period of February 1, 2011 through February 28, 2011 of Tobin & Tobin, Special Counsel to the Debtor
- Doc 717 – Disclosure Statement Describing Chapter 11 Plan of Reorganization Proposed by the Debtors (Dated March 25, 2011)
- Doc 718 – Chapter 11 Plan of Reorganization Proposed by the Debtors (Dated March 25, 2011)
- Doc 719 – Chapter 11 Plan of Reorganization Proposed by the Official Committee of Equity Security Holders (Dated March 25, 2011)
- Doc 720 – Disclosure Statement Describing Chapter 11 Plan of Reorganization Proposed by Official Committee of Equity Security Holders (Dated March 25, 2011)
- Doc 721 – Official Committee of Equity Holders Notice of Meeting (April 11, 2011)
- Doc 770 - First Amended Chapter 11 Plan of Liquidation Proposed by the Official Committee of Equity Security Holders (April 27, 2011)
- Doc 771 - Joint Disclosure Statement Describing First Amended Chapter 11 Plan of Reorganization Proposed by the Debtors (Dated April 27, 2011) and Chapter 11 Plan of Reorganization Proposed by the Official Committee of Equity Security Holders (Dated April 27, 2011)
- Doc 773 - First Amended Chapter 11 Plan of Reorganization Proposed by the Debtors (April 27, 2011)
- Doc 774 - Supplement to the Debtors' Plan of Reorganization Proposed by the Debtors
- Doc 777 – Order Approving Motion for Conditional Approval of Joint Disclosure Statement Describing First Amended Chapter 11 Plan of Reorganization Proposed by the Debtors and Chapter 11 Plan of Reorganization Proposed by the Official Committee of Equity Security Holders
- Doc 779 – Notice of Hearing on (1) Final Approval of Conditionally Approved Joint Disclosure Statement; and (2) Confirmation of Plans
- Doc 783 – Notice of Budget for the Period April 25, 2011 through July 2, 2011
- Doc 784 – Motion for Order Approving Bid Procedures and Overbid Protections, Including Break-Up Fee, Re Exit Financing Under First Amended Chapter 1 Plan of Reorganization Proposed by the Debtors (Dated April 27, 2011) and Granting Related Relief
- Doc 785 – Motion of Debtors for Order Estimating Unsecured Deficiency Claims of Certain Note Holders Solely for Purpose of Plan Voting
- Doc 801 – Stipulation and Order Modifying Stay
- Doc834 – US Bank’s Statement of Position Regarding Debtors’ Motion for Order Approving Bid Procedures and Overbid Protections
- Doc 839 – Official Committee of Equity Security Holders’ Objection to Debtors’ Motion for Order Approving Bid Procedures and Overbid Protections, Including Break-Up Fee, Re Exit Financing Under First Amended Chapter 11 Plan of Reorganization Proposed by the Debtors (Dated April 27, 2011) and Granting Related Relief
- Doc 843 – Ex Parte Motion to File Under Seal the Preliminary Term Sheet for Official Committee of Equity Security Holders’ Plan of Liquidation
- Doc 849 – Order Granting Ex Parte Motion to File Under Seal Preliminary Term Sheet for Committee Plan Exit Facility
- Doc 851 – Notice of Tenth Monthly Interim Fee and Expense Statement for the Period of April 1, 2011 through April 30, 2011 of McDonald Carano Wilson, LLP, Counsel to the Official Committee of Equity Security Holders
- Doc 855 – Notice of Monthly Interim Fee and Expense Statement for the Period of March 1, 2011 through March 31, 2011 of FTI Consulting Inc., Financial Advisor to the Official Committee of Equity Security Holders
- Doc 1001 - Order Confirming 2nd Amended Plan of Debtors
- Doc 1008 - Notice of Entry of Order and Notice of Effective Date of Plan
- Doc 108 – Application to Employ Downey Brand LLP as Nevada Counsel for Debtors
- Doc 111 – Summary of Schedules
- Doc 112 – Statement of Financial Affairs
- Doc 116 – Appointment of Equity Committee
- Doc 183 – Ex Parte Application for an Order, Pursuant to 11 U.S.C. §§ 327(A), Authorizing Employment and Retention of Colliers International as Real Estate Brokers
- Doc 186 – Order on Ex Parte Application for an Order Authorizing Employment and Retention of Colliers International as Real Estate Brokers
- Doc 276 – List of Creditors Holdings 20 Largest Unsecured Claims – Amended
- Doc 277 – Summary of Schedules – Amended
- Doc 279 – Statement of Financial Affairs – Amended
- Doc 301 – Declaration of Raymond J. Poncia in Support of First Interim Fee Statement of McDonald Carano Wilson LLP
- Doc 308 – Motion for Order Further Limiting Scope of Notice
- Doc 321 – Summary of Schedules – Amended
- Doc 336 – Monthly Operating Report – Month Ended April 10
- Doc 337 – Monthly Operating Report – Month Ended April 10
- Doc 338 – Monthly Operating Report – Month Ended June 10
- Doc 339 – Monthly Operating Report – Month Ended May 10
Specialty Trust, Inc
- Doc 56 – Summary of Schedules – Amended
- Doc 57 – Statement of Financial Affairs – Amended
- Doc 111 – Summary of Schedules
- Doc 112 – Statement of Financial Affairs
- Doc 333 – Monthly Operating Report – Month Ended April 10
- Doc 334 – Monthly Operating Report – Month Ended May 10
- Doc 335 – Monthly Operating Report – Month Ended June 10
SAC II
- Doc 111 – Summary of Schedules
- Doc 112 – Statement of Financial Affairs
- Doc 185 – Order on Ex Parte Application for an Order Authorizing Employment and Retention of Cobalt Real Estate, Inc. as Real Estate Brokers
- Doc 330 –Monthly Operating Report – Month Ended April 10
- Doc 332 – Monthly Operating Report – Month Ended June 10
SAC D-1, LLC