Case 16-32488 Document 621 Filed in TXSB on 07/28/16 Page 1 of 3 IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION In re: Chapter 11 SANDRIDGE ENERGY, INC., et al., Case No. 16-32488 (DRJ) Debtors. NOTICE OF WITHDRAWAL OF APPEARANCE AND REQUEST FOR REMOVAL FROM ELECTRONIC NOTICING MATRIX PLEASE TAKE NOTICE that the undersigned do hereby withdraw their appearance on behalf of U.S. Bank National Association, as trustee for SandRidge Energy, Inc. s 8.75% Senior Secured Notes due 2020 ( U.S. Bank ), in the above-captioned matters, effective as of the date hereof. The undersigned withdraw their request for receipt of all notices, including electronic notices, in connection therewith and additionally request that the Debtors and the Clerk of the Court remove the below names and addresses on any mailing matrix or list of parties-in-interest to be prepared or existing in the above-captioned matters. PLEASE TAKE FURTHER NOTICE that the law firm Squire Patton Boggs (US) LLP ( Squire ) has filed a Notice of Appearance on behalf of U.S. Bank in the above-captioned matters. The undersigned have provided Squire with the Notice of Hearing to Consider Confirmation of the Chapter 11 Plan Filed by the Debtors and Related Voting and Objection 010-8251-0174/1/AMERICAS
Case 16-32488 Document 621 Filed in TXSB on 07/28/16 Page 2 of 3 Deadlines [D.E. 543]. Dated: July 28, 2016 Respectfully submitted, K&L GATES LLP /s/ Trey A. Monsour Trey A. Monsour Texas State Bar No. 14277200 K&L Gates LLP 1000 Main Street Suite 2550 Houston, TX 77002 (713) 815-7320 trey.monsour@klgates.com Robert T. Honeywell (admitted pro hac vice) Texas State Bar No. 09936400 K&L Gates LLP 599 Lexington Avenue New York, NY 10022 (212) 536-4863 robert.honeywell@klgates.com Aaron S. Rothman (admitted pro hac vice) New York State Bar No. 4716882 K&L Gates LLP 214 North Tryon Street Charlotte, NC 28202 (704) 331-7446 aaron.rothman@klgates.com 010-8251-0174/1/AMERICAS
Case 16-32488 Document 621 Filed in TXSB on 07/28/16 Page 3 of 3 CERTIFICATE OF SERVICE I hereby certify that on July 28, 2016, a true and correct copy of foregoing was served electronically through the Court s ECF system or by regular mail, postage prepaid on the following parties, in accordance with the Federal Rules of Bankruptcy Procedure. /s/ Trey A. Monsour Trey A. Monsour 010-8251-0174/1/AMERICAS
Case 16-32488 Document 621-1 618 Filed in in TXSB on 07/28/16 Page 1 of of 3 IN THE UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION In re: Chapter 11 SANDRIDGE ENERGY, INC., et al., 1 Case No. 16-32488 (DRJ) Debtors. (Jointly Administered) NOTICE OF APPEARANCE AND REQUEST FOR SERVICE OF ALL NOTICES, PLEADINGS AND PAPERS PLEASE TAKE NOTICE that Squire Patton Boggs (US) LLP ( Squire ) hereby enters its appearance pursuant to section 1109(b) of chapter 11 of Title 11 of the United States Code (the Bankruptcy Code ) and Rule 9010(b) of the Federal Rules of Bankruptcy Procedure (the Bankruptcy Rules ), on behalf of U.S. Bank National Association, as trustee for SandRidge Energy, Inc. s 8.75% Senior Secured Notes due 2020 ( U.S. Bank ), in the above-captioned bankruptcy cases, effective as of the date hereof. Squire hereby requests, pursuant to Bankruptcy Rules 2002, 3017, and 9007, and sections 342, 1102(a)(1), and 1109(b) of the Bankruptcy Code, that copies of all notices and pleadings given or filed in these cases be given and served upon and that the mailing matrix in these cases include the following persons at the addresses, facsimile numbers, or electronic mail addresses set forth below: 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor s federal tax identification number, include: SandRidge Energy, Inc. (4793); 4th Street Properties, LLC (N/A); Black Bayou Exploration, L.L.C. (0561); Braniff Restaurant Holdings, LLC (2453); CEBA Gathering, LLC (6478); CEBA Midstream GP, LLC (0511); CEBA Midstream, LP (7252); Cholla Pipeline, L.P. (5092); Cornhusker Energy, L.L.C. (4609); FAE Holdings 389322R, LLC (N/A); Integra Energy, L.L.C. (7527); Lariat Services, Inc. (0702); MidContinent Resources, LLC (6928); Mistmada Oil Company, Inc. (3032); Piñon Gathering Company, LLC (5943); Sabino Exploration, LLC (1929); Sagebrush Pipeline, LLC (0515); SandRidge CO2, LLC (7903); SandRidge Exploration and Production, LLC (6535); SandRidge Holdings, Inc. (8401); SandRidge Midstream, Inc. (1148); SandRidge Operating Company (1245); SandRidge Realty, LLC (6079); Sierra Madera CO2 Pipeline, LLC (1558); and WTO Gas Gathering Company, LLC (N/A). The location of the Debtors service address is: 123 Robert S. Kerr Avenue, Oklahoma City, Oklahoma 73102. 010-8251-0177/1/AMERICAS
Case 16-32488 Document 621-1 618 Filed in in TXSB on 07/28/16 Page 2 of of 3 Stephen D. Lerner Squire Patton Boggs (US) LLP 221 East Fourth Street Suite 2900 Cincinnati, OH 45202-4095 Telephone: 513-361-1200 Facsimile: 513-361-1201 stephen.lerner@squirepb.com Karol K. Denniston Squire Patton Boggs (US) LLP 2000 McKinney Avenue Suite 1700 Dallas, TX 75201 Telephone: 214-758-1500 Facsimile: 214-758-1550 karol.denniston@squirepb.com PLEASE TAKE FURTHER NOTICE that, pursuant to section 1109(b) of the Bankruptcy Code, the foregoing demand includes not only the notices and papers referred to in the Bankruptcy Rules specified above but also includes, without limitation, any notice, application, complaint, demand, motion, petition, pleading or request, whether formal or informal, written or oral, and whether transmitted or conveyed by mail, delivery, electronically, telephone, telegraph, telex or otherwise filed or made with regard to the referenced case and proceedings therein. PLEASE TAKE FURTHER NOTICE, that neither this notice of appearance nor any subsequent appearance, pleading, claim or suit is intended or shall be deemed to waive U.S. Bank s (i) right to have final orders in non-core matters entered only after de novo review by a higher court; (ii) right to trial by jury in any proceeding so triable herein or in any case, controversy or proceeding related hereto; (iii) right to have the reference withdrawn in any matter subject to mandatory or discretionary withdrawal; or (iv) other rights, claims, actions, defenses, setoffs, or recoupments to which U.S. Bank is or may be entitled under agreements in law, or in equity, all of which rights, claims, actions, defenses, setoffs, and recoupments expressly are reserved. Unless and until U.S. Bank expressly states otherwise, U.S. Bank does not consent to the jurisdiction or authority of the Bankruptcy Court with respect to the litigation of any non-core matter or any core matter constituting a Stern claim. 2 010-8251-0177/1/AMERICAS
Case 16-32488 Document 621-1 618 Filed in in TXSB on 07/28/16 Page 3 of of 3 Date: July 28, 2016 SQUIRE PATTON BOGGS (US) LLP /s/ Karol K. Denniston Karol K. Denniston (pro hac vice application pending) 2000 McKinney Avenue, Suite 1700 Dallas, TX 75201 Telephone: 214-758 1500 Facsimile: 214-758 1550 karol.denniston@squirepb.com and Stephen D. Lerner (pro hac vice application pending) 221 East Fourth Street, Suite 2900 Cincinnati, OH 45202-4095 Telephone: 513-361-1200 Facsimile: 513-361-1201 stephen.lerner@squirepb.com Attorneys for U.S. Bank National Association 3 010-8251-0177/1/AMERICAS