mew Doc 861 Filed 07/11/17 Entered 07/11/17 14:42:10 Main Document Pg 1 of 6

Similar documents
mew Doc 2904 Filed 03/20/18 Entered 03/20/18 21:49:04 Main Document Pg 1 of 7

mew Doc 812 Filed 06/29/17 Entered 06/29/17 18:26:07 Main Document Pg 1 of 5

mew Doc 1288 Filed 09/01/17 Entered 09/01/17 14:35:05 Main Document Pg 1 of 7

mew Doc 778 Filed 06/27/17 Entered 06/27/17 11:04:03 Main Document Pg 1 of 9

mew Doc 2784 Filed 03/09/18 Entered 03/09/18 16:00:38 Main Document Pg 1 of 7

UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK

mew Doc 464 Filed 05/12/17 Entered 05/12/17 22:47:05 Main Document Pg 1 of 9

mew Doc 1187 Filed 08/18/17 Entered 08/18/17 15:35:34 Main Document Pg 1 of 9

mew Doc 2827 Filed 03/13/18 Entered 03/13/18 22:57:38 Main Document Pg 1 of 14

mew Doc 1769 Filed 11/16/17 Entered 11/16/17 14:35:41 Main Document Pg 1 of 6 UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK

mew Doc 542 Filed 05/24/17 Entered 05/24/17 13:20:51 Main Document Pg 1 of 6

mew Doc 1212 Filed 08/22/17 Entered 08/22/17 15:11:30 Main Document Pg 1 of 6

mew Doc 1064 Filed 07/31/17 Entered 07/31/17 22:01:49 Main Document Pg 1 of 7

mew Doc 777 Filed 06/26/17 Entered 06/26/17 22:01:16 Main Document Objection Deadline: July 11, :00 p.m. (Prevailing Eastern Time)

mew Doc 1759 Filed 11/15/17 Entered 11/15/17 12:44:23 Main Document Pg 1 of 5

mew Doc 2945 Filed 03/23/18 Entered 03/23/18 12:52:23 Main Document Pg 1 of 10

mew Doc 2201 Filed 01/22/18 Entered 01/22/18 11:56:01 Main Document Pg 1 of 11

mew Doc 1359 Filed 09/13/17 Entered 09/13/17 14:32:05 Main Document Pg 1 of 4

mew Doc 1619 Filed 10/26/17 Entered 10/26/17 11:31:13 Main Document Pg 1 of 6

mew Doc 19 Filed 05/18/18 Entered 05/18/18 17:11:14 Main Document Pg 1 of 16

mew Doc 2184 Filed 01/19/18 Entered 01/19/18 13:54:34 Main Document Pg 1 of 8

mew Doc 1734 Filed 11/13/17 Entered 11/13/17 14:12:50 Main Document Pg 1 of 21

mew Doc 1030 Filed 07/28/17 Entered 07/28/17 16:33:29 Main Document. Pg 1 of 7

mew Doc 72 Filed 03/31/17 Entered 03/31/17 12:00:26 Main Document Pg 1 of 8

mew Doc 1857 Filed 12/04/17 Entered 12/04/17 19:24:15 Main Document. Pg 1 of 43

mew Doc 2969 Filed 03/27/18 Entered 03/27/18 10:35:37 Main Document Pg 1 of 8

mew Doc 954 Filed 07/20/17 Entered 07/20/17 14:25:17 Main Document Pg 1 of 14

mew Doc 1895 Filed 12/10/17 Entered 12/10/17 20:38:14 Main Document Pg 1 of 16

mew Doc 902 Filed 07/13/17 Entered 07/13/17 16:18:12 Main Document Pg 1 of 8

mew Doc 1443 Filed 10/02/17 Entered 10/02/17 20:12:56 Main Document Pg 1 of 20

mew Doc 2483 Filed 02/09/18 Entered 02/09/18 11:14:51 Main Document Pg 1 of 14

mew Doc 3904 Filed 09/11/18 Entered 09/11/18 17:32:24 Main Document Pg 1 of 14

PLEASE TAKE NOTICE that, pursuant to the Order Extending Initial Distribution Date,

mew Doc 79 Filed 03/31/17 Entered 03/31/17 12:48:40 Main Document Pg 1 of 6

mew Doc 544 Filed 05/24/17 Entered 05/24/17 13:25:06 Main Document Pg 1 of 7

Pg 1 of 22. PLEASE TAKE NOTICE that upon the annexed Motion of Debtors Pursuant to

mew Doc 4158 Filed 01/17/19 Entered 01/17/19 16:56:15 Main Document Pg 1 of 5

mew Doc 3794 Filed 08/29/18 Entered 08/29/18 12:16:59 Main Document. Pg 1 of 19

mew Doc 2860 Filed 03/16/18 Entered 03/16/18 14:57:44 Main Document Pg 1 of 18

mew Doc 2644 Filed 02/23/18 Entered 02/23/18 17:25:34 Main Document Pg 1 of 6

mew Doc 1245 Filed 08/25/17 Entered 08/25/17 20:23:39 Main Document Pg 1 of 46

mew Doc 4198 Filed 02/15/19 Entered 02/15/19 18:11:40 Main Document Pg 1 of 5

mew Doc 2094 Filed 01/08/18 Entered 01/08/18 18:04:30 Main Document Pg 1 of 22

mew Doc 1067 Filed 08/01/17 Entered 08/01/17 10:34:33 Main Document Pg 1 of 3

mew Doc 2153 Filed 01/16/18 Entered 01/16/18 21:09:41 Main Document Pg 1 of 20

mew Doc 1122 Filed 08/10/17 Entered 08/10/17 18:23:27 Main Document Pg 1 of 5

mew Doc 1066 Filed 07/31/17 Entered 07/31/17 22:05:04 Main Document Pg 1 of 9

mew Doc 4108 Filed 11/15/18 Entered 11/15/18 19:13:04 Main Document Pg 1 of 16

mew Doc 3804 Filed 08/30/18 Entered 08/30/18 15:11:04 Main Document Pg 1 of 2

mew Doc 3890 Filed 09/06/18 Entered 09/06/18 21:14:28 Main Document. Pg 1 of 29

mew Doc 3816 Filed 08/30/18 Entered 08/30/18 23:50:43 Main Document Pg 1 of 18

NOTICE OF PRESENTMENT OF WIND DOWN CO S MOTION FOR ENTRY OF AN ORDER EXTENDING THE CLAIMS OBJECTION BAR DATE

mew Doc 1185 Filed 08/18/17 Entered 08/18/17 14:37:40 Main Document Pg 1 of 4

PLEASE TAKE NOTICE that a hearing on the annexed Motion of Debtors

mew Doc 985 Filed 07/24/17 Entered 07/24/17 18:45:10 Main Document Pg 1 of 20

mew Doc 3001 Filed 04/02/18 Entered 04/02/18 11:42:48 Main Document Pg 1 of 15

mew Doc 3644 Filed 07/27/18 Entered 07/27/18 16:53:36 Main Document Pg 1 of 6

mew Doc 2108 Filed 01/10/18 Entered 01/10/18 15:25:43 Main Document Pg 1 of 3

mew Doc 4178 Filed 01/28/19 Entered 01/28/19 20:56:27 Main Document Pg 1 of 15

mew Doc 3608 Filed 07/20/18 Entered 07/20/18 17:10:33 Main Document Pg 1 of 19

mew Doc 913 Filed 07/14/17 Entered 07/14/17 17:16:19 Main Document Pg 1 of 16

Debtors. files this motion (the Motion ), pursuant to Section 503(b)(1)(A) of title 11 of the United

NOTICE OF TWENTY-FIFTH OMNIBUS OBJECTION TO CLAIMS (Redundant Claims)

mew Doc 2762 Filed 03/08/18 Entered 03/08/18 12:35:47 Main Document Pg 1 of 8

mew Doc 4164 Filed 01/22/19 Entered 01/22/19 09:22:21 Main Document Pg 1 of 3

Official Form 201 Voluntary Petition for Non-Individuals Filing for Bankruptcy 04/16

Pg 1 of 15 NOTICE OF MOTION FOR STAY RELIEF, TO THE EXTENT REQUIRED, AND FOR ENLARGEMENT OF TIME TO FILE PROOF OF CLAIM

mew Doc 39 Filed 03/19/18 Entered 03/19/18 11:57:02 Main Document Pg 1 of 7

MOTION OF BARCO, INC. FOR ALLOWANCE AND PAYMENT OF ADMINISTRATIVE EXPENSE CLAIM PURSUANT TO 11 U.S.C. 503(b)(9)

mew Doc 1392 Filed 09/25/17 Entered 09/25/17 15:33:23 Main Document Pg 1 of 25

mew Doc 4176 Filed 01/28/19 Entered 01/28/19 20:51:03 Main Document Pg 1 of 12

mew Doc 80 Filed 03/31/17 Entered 03/31/17 13:01:09 Main Document Pg 1 of 25

mew Doc 667 Filed 06/07/17 Entered 06/07/17 16:45:24 Main Document Pg 1 of 4

Case KJC Doc 166 Filed 04/16/19 Page 1 of 6 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE.

Case Document 235 Filed in TXSB on 04/14/15 Page 1 of 5

mew Doc 1664 Filed 10/31/17 Entered 10/31/17 19:18:40 Main Document Pg 1 of 40

IN THE UNITED STATES BANKRUPTCY COURT FOR THE WESTERN DISTRICT OF PENNSYLVANIA

Case Document 1045 Filed in TXSB on 09/13/18 Page 1 of 7 UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

Case GLT Doc 1551 Filed 05/23/18 Entered 05/23/18 15:07:17 Desc Main Document Page 1 of 5

mew Doc 1793 Filed 11/22/17 Entered 11/22/17 11:40:00 Main Document Pg 1 of 12

Case KJC Doc 1054 Filed 05/15/13 Page 1 of 5 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

rbk Doc#432 Filed 07/09/18 Entered 07/09/18 18:42:18 Main Document Pg 1 of 7

rdd Doc 1550 Filed 12/20/18 Entered 12/20/18 14:32:48 Main Document Pg 1 of 8

rbk Doc#305 Filed 04/07/16 Entered 04/07/16 18:56:05 Main Document Pg 1 of 5

mew Doc 4270 Filed 04/05/19 Entered 04/05/19 18:45:08 Main Document Pg 1 of 17

Case Document 1058 Filed in TXSB on 09/14/18 Page 1 of 8 UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK. In re: Chapter 11. Case No (MEW) WESTINGHOUSE ELECTRIC COMPANY LLC, et al.

mew Doc 764 Filed 06/23/17 Entered 06/23/17 08:03:39 Main Document Pg 1 of 88

shl Doc 1292 Filed 06/28/12 Entered 06/28/12 15:26:21 Main Document Pg 1 of 14

Case LSS Doc 662 Filed 07/18/17 Page 1 of 9 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

smb Doc 204 Filed 07/12/16 Entered 07/12/16 16:01:11 Main Document Pg 1 of 17

shl Doc 275 Filed 07/12/18 Entered 07/12/18 19:05:46 Main Document Pg 1 of 10

mew Doc 16 Filed 05/01/18 Entered 05/01/18 19:52:51 Main Document Pg 1 of 4 IN THE UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK

Case Document 1122 Filed in TXSB on 10/19/18 Page 1 of 5 UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

management procedures set forth in the Final Order Pursuant to 11 U.S.C. 105(a) and Fed. R.

Case GLT Doc 1179 Filed 10/02/17 Entered 10/02/17 19:04:53 Desc Main Document Page 1 of 19

Case: JMD Doc #: 130 Filed: 10/26/11 Desc: Main Document Page 1 of 3

mew Doc 4049 Filed 10/12/18 Entered 10/12/18 15:00:34 Main Document Pg 1 of 21

Case KJC Doc 172 Filed 08/02/16 Page 1 of 9 UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE. Chapter 11

Case Document 675 Filed in TXSB on 08/31/18 Page 1 of 11 IN THE UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

Transcription:

Pg 1 of 6 BARNES & THORNBURG LLP 11 South Meridian Street Indianapolis, Indiana 46204 Telephone: (317) 236-1313 Facsimile: (317) 231-7433 Michael K. McCrory Admitted pro hac vice Attorneys for Rolls-Royce Nuclear Field Services Inc.; Rolls-Royce Civil Nuclear Canada Ltd.; and Rolls-Royce Nuclear Field Services France SAS UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK : In re: : Chapter 11 : WESTINGHOUSE ELECTRIC COMPANY LLC, : Case No. 17-10751 (MEW) et al., : : Jointly Administered Debtors. 1 : : Related to Docket No. 769 Hearing Date and Time: July 18, 2017 at 11:00 a.m. Hearing Location: United States Bankruptcy Court for the Southern District of New York One Bowling Green New York, New York 10004 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor s federal tax identification number, if any, are: Westinghouse Electric Company LLC (0933), CE Nuclear Power International, Inc. (8833), Fauske and Associates LLC (8538), Field Services, LLC (2550), Nuclear Technology Solutions LLC (1921), PaR Nuclear Holding Co., Inc. (7944), PaR Nuclear, Inc. (6586), PCI Energy Services LLC (9100), Shaw Global Services, LLC (0436), Shaw Nuclear Services, Inc. (6250), Stone & Webster Asia Inc. (1348), Stone & Webster Construction Inc. (1673), Stone & Webster International Inc. (1586), Stone & Webster Services LLC (5448), Toshiba Nuclear Energy Holdings (UK) Limited (N/A), TSB Nuclear Energy Services Inc. (2348), WEC Carolina Energy Solutions, Inc. (8735), WEC Carolina Energy Solutions, LLC (2002), WEC Engineering Services Inc. (6759), WEC Equipment & Machining Solutions, LLC (3135), WEC Specialty LLC (N/A), WEC Welding and Machining, LLC (8771), WECTEC Contractors Inc. (4168), WECTEC Global Project Services Inc. (8572), WECTEC LLC (6222), WECTEC Staffing Services LLC (4135), Westinghouse Energy Systems LLC (0328), Westinghouse Industry Products International Company LLC (3909), Westinghouse International Technology LLC (N/A), and Westinghouse Technology Licensing Company LLC (5961). The Debtors principal offices are located at 1000 Westinghouse Drive, Cranberry Township, Pennsylvania 16066.

Pg 2 of 6 OBJECTION TO MOTION OF DEBTORS PURSUANT TO 11 U.S.C. 363(B), 365(A), AND 105(A) FOR ENTRY OF ORDER AUTHORIZING DEBTORS TO (I) ENTER INTO SERVICES AGREEMENT WITH VOGTLE OWNERS, (II) ASSUME AND ASSIGN CERTAIN EXECUTORY CONTRACTS TO VOGTLE OWNERS, (III) ASSUME AND AMEND CERTAIN EXECUTORY CONTRACTS, AND (IV) REJECT THE VOGTLE EPC CONTRACT To the Honorable Michael E. Wales, United States Bankruptcy Judge: Rolls-Royce Civil Nuclear Canada Ltd. ( Rolls-Royce ), by its undersigned counsel, hereby objects (the Objection ) to the Motion of Debtors Pursuant to 11 U.S.C. 363(b), 365(a), and 105(a) for Entry of Order Authorizing Debtors to (i) Enter into Services Agreement with Vogtle Owners, (ii) Assume and Assign Certain Executory Contracts to Vogtle Owners, (iii) Assume and Amend Certain Executory Contracts, and (iv) Reject the Vogtle EPC Contract (the Motion ) [ECF No. 769] of the Debtors (as defined herein), and in support thereof, respectfully states as follows: I. BACKGROUND 1. On March 29, 2017 (the Petition Date ), Westinghouse Electric Company LLC ( WEC ), along with several of its affiliates (together with WEC, the Debtors ), filed voluntary petitions for relief under chapter 11 of the title 11 of the U.S. Code, 11 U.S.C. 101, et seq. (the Bankruptcy Code ). 2. On June 23, 2017, the Debtors filed the Motion. 3. Pursuant to the Motion, the Debtors seek to assume and amend, inter alia, a certain contract (the Contract ) with Rolls-Royce. The Debtors indicated that the cure amount for the Contract is $0.00. Additionally, the Debtors seek to amend the Contract to require Rolls- Royce to first pursue Georgia Power Company, Oglethorpe Power Corporation, Municipal Electric Authority of Georgia, and the City of Dalton, Georgia (together, the Owners ), on a 2

Pg 3 of 6 several, but not joint, basis, for amounts due and owing under the Contract before taking any action against the Debtors. 4. Prior to the Petition Date in November 2013, Rolls-Royce and WEC entered into the Contract, whereby Rolls-Royce agreed to build certain casks (the Casks ) to capture and store nuclear waste. 5. In compliance with the Contract, Rolls-Royce completed the Casks and is now awaiting final approval for shipment of the Casks from the Debtors. 6. Rolls-Royce has completed its material obligations under the Contract and is entitled to receive no less than $375,730.00 under the Contract. II. OBJECTION 7. Section 365(b)(1) of the Bankruptcy Code provides, in pertinent part: If there has been a default in an executory contract or unexpired lease of the debtor, the trustee may not assume such contract or lease unless, at the time of assumption of such contract or lease, the trustee (A) cures, or provides adequate assurance that the trustee will promptly cure, such default ; (B) compensates, or provides adequate assurance that the trustee will promptly compensate, a party other than the debtor to such contract or lease, for any actual pecuniary loss to such party resulting from such default; and (C) provides adequate assurance of future performance under such contract or lease. 8. Here, in order for WEC to assume the Contract, WEC must cure all outstanding defaults. Further, WEC must assume the Contract in its entirety and without amendment. NLRB v. Bildisco & Bildisco, 465 U.S. 513, 531 (1984); see also In re Yonkers Hamilton Sanitarium, Inc., 22 B.R. 427 (Bankr. S.D.N.Y. 1982). WEC fails on both counts. First, the proposed cure amount for the Contract is woefully less than what Rolls-Royce is entitled to. Second, the proposed amendment to the Contract results in further risk and cost for Rolls-Royce in enforcing its rights Rolls-Royce is not agreeable to such amendment. For either reason, the Motion should be denied as to the Contract. 3

Pg 4 of 6 A. The Proposed Cure Amount Is Incorrect. 9. The proposed cure amount for the Contract of $0.00 is incorrect. Rolls-Royce has completed the Casks pursuant to the specifications set forth by WEC. Rolls-Royce is now simply awaiting final direction on shipment from WEC. Rolls-Royce is entitled to receive no less than $375,730.00. This should be the cure amount, and WEC should promptly pay it before the Contract may be assumed pursuant to 11 U.S.C. 365(b)(1). 10. Further, the Motion provides limited detail as to when the Contract will be assumed, if it is assumed. The Motion provides that cure costs will be paid upon assumption of the Contract. The Service Agreement (as defined in the Motion) provides for assumption of the Contract upon the effective date of the Service Agreement. The effective date of the Service Agreement will not occur until several conditions precedent are satisfied. Accordingly, any order approving the Motion must provide that all cure amounts, including those relating to the Contract, be subject to later adjustment based on the date when the Contract is actually assumed. B. The Proposed Amendment to the Contract Creates Additional Risk for Rolls-Royce. 11. Beyond the incorrect cure amount, in proposing to assume the Contract, the Debtors propose to amend the Contract by, inter alia, requiring Rolls-Royce to pursue collection against the Owners, on a several but not joint basis, before seeking to collect any amounts from WEC. The result is that Rolls-Royce would first need to pursue each of the four separate Owners, individually, for one quarter of what is owed. Thereafter, and only thereafter, can Rolls-Royce then pursue WEC for amounts to WEC owes. Here, where Rolls-Royce is already entitled to no less than $375,730.00, adding another layer of enforcement and requiring pursuit of the Owners, each individually, is unwarranted. It simply makes recovery of amounts due and owing to Rolls-Royce more costly and difficult. Rolls-Royce does not consent to this. If WEC 4

Pg 5 of 6 wants to assume the Contract, WEC must assume it as is without any amendment that negatively affects Rolls-Royce s rights. 2 WHEREFORE, for the foregoing reasons, Rolls-Royce respectfully requests that the Court (i) deny the Motion with respect to the Contract and (ii) grant Rolls-Royce such other and further relief as may be just and proper. Dated: July 11, 2017 /s/ Michael K. McCrory. Michael K. McCrory (IN #9829-49) Admitted pro hac vice BARNES & THORNBURG LLP 11 South Meridian Street Indianapolis, Indiana 46204 Telephone: (317) 236-1313 Facsimile: (317) 231-7433 2 Rolls-Royce s obligations, for the most part, are completed upon delivery of the Casks. If Rolls-Royce is promptly paid $375,730.00, pursuant to the Contract, there would be no further obligations on the part of Rolls-Royce or the Debtors under the Contract and the assumption thereof would be moot. 5

Pg 6 of 6 CERTIFICATE OF SERVICE The undersigned hereby certifies that he has this day filed the foregoing document via the Court s CM/ECF System, which caused all parties or counsel requesting notice to be served a copy electronically. Dated: July 11, 2017 /s/ Michael K. McCrory. Michael K. McCrory (IN #9829-49) DMS 10621136v1 6