Pg 1 of 39. NOTICE OF DEBTORS FIFTH OMNIBUS OBJECTION TO CLAIMS (Amended and Superseded Claims)

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

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

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

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

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

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

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

NOTICE OF TWENTY-FOURTH OMNIBUS OBJECTION TO CLAIMS (Amended and Superseded Claims)

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

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

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

mew Doc 1064 Filed 07/31/17 Entered 07/31/17 22:01:49 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

UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK

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

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

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

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

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

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

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

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

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

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

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

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

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

mew Doc 2943 Filed 03/23/18 Entered 03/23/18 12:19:30 Main Document Pg 1 of 25

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

mew Doc 4179 Filed 01/28/19 Entered 01/28/19 23:51:32 Main Document Pg 1 of 28

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

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

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

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

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

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

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

mew Doc 3811 Filed 08/30/18 Entered 08/30/18 17:24:34 Main Document. Pg 1 of 32

Case bjh11 Doc 2275 Filed 02/23/18 Entered 02/23/18 12:40:49 Page 1 of 24

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

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

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

mew Doc 3810 Filed 08/30/18 Entered 08/30/18 17:14:02 Main Document. Pg 1 of 29

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

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

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

mew Doc 3809 Filed 08/30/18 Entered 08/30/18 17:11:41 Main Document. Pg 1 of 39

Case KRH Doc 3860 Filed 05/18/17 Entered 05/18/17 13:22:39 Desc Main Document Page 1 of 21

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

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

shl Doc 86 Filed 05/06/16 Entered 05/06/16 10:50:32 Main Document Pg 1 of 7

Case PJW Doc 1675 Filed 03/25/13 Page 1 of 16 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

Case MFW Doc 1796 Filed 08/31/18 Page 1 of 6 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

mew Doc 4013 Filed 10/02/18 Entered 10/02/18 19:00:42 Main Document Pg 1 of 4

Case KG Doc 3307 Filed 11/21/17 Page 1 of 7 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

Signed July 18, 2017 United States Bankruptcy Judge

rdd Doc 1447 Filed 06/16/17 Entered 06/16/17 15:37:35 Main Document Pg 1 of 6

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

Case: HJB Doc #: 3074 Filed: 02/08/16 Desc: Main Document Page 1 of 7 UNITED STATES BANKRUPTCY COURT DISTRICT OF NEW HAMPSHIRE : :

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

rbk Doc#654 Filed 11/30/18 Entered 11/30/18 22:06:23 Main Document Pg 1 of 10

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

mew Doc 4119 Filed 11/27/18 Entered 11/27/18 16:34:13 Main Document Pg 1 of 3 UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK

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

Case BLS Doc 2348 Filed 06/05/15 Page 1 of 5 UNITED STATES BANKRUPTCY COURT DISTRICT OF DELAWARE : : : : : : : : : Chapter 11

shl Doc 757 Filed 03/26/19 Entered 03/26/19 13:18:35 Main Document Pg 1 of 8

shl Doc 720 Filed 01/05/16 Entered 01/05/16 14:39:28 Main Document Pg 1 of 75

Case Document 88 Filed in TXSB on 01/19/17 Page 1 of 5

shl Doc 1149 Filed 05/22/13 Entered 05/22/13 17:21:28 Main Document Pg 1 of 12

Case MFW Doc 1794 Filed 08/31/18 Page 1 of 7 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

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

mew Doc 4050 Filed 10/12/18 Entered 10/12/18 17:43:08 Main Document Pg 1 of 21

shl Doc 26 Filed 03/26/12 Entered 03/26/12 12:12:04 Main Document Pg 1 of 13

Case CSS Doc 5 Filed 12/11/17 Page 1 of 7 IN THE UNITED STATES BANKRUPTCY COURT DISTRICT OF DELAWARE

mg Doc 8303 Filed 03/13/15 Entered 03/13/15 16:14:27 Main Document Pg 1 of 23

mew Doc 303 Filed 10/19/17 Entered 10/19/17 13:17:41 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

Case Document 752 Filed in TXSB on 07/20/18 Page 1 of 5

Transcription:

17-10751-mew Doc 2537 Filed 02/13/18 Entered 02/13/18 16:13:30 MainDate Document Docket Docket#2537 #2537 Date Filed: Filed:02/13/2018 2/13/2018 Pg 1 of 39 HEARING DATE AND TIME: March 20, 2018 at 11:00 a.m. (Eastern Time) RESPONSE DEADLINE: March 13, 2018 at 4:00 p.m. (Eastern Time) THE ATTACHED OMNIBUS OBJECTION TO CLAIMS SEEKS TO DISALLOW AND EXPUNGE CERTAIN FILED PROOFS OF CLAIM. PLEASE CAREFULLY REVIEW THE ATTACHED OBJECTION AND THE ATTACHMENTS THERETO TO DETERMINE WHETHER THE OBJECTION AFFECTS ANY CLAIM YOU MAY HAVE FILED. IF YOU HAVE QUESTIONS, PLEASE CONTACT DEBTORS COUNSEL, OLGA F. PESHKO, AT 212-310-8042. UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK ------------------------------------------------------------ x In re : Chapter 11 : WESTINGHOUSE ELECTRIC COMPANY : Case No. 17-10751 (MEW) LLC, et al., : : : Debtors.1 : (Jointly Administered) : ------------------------------------------------------------ x NOTICE OF DEBTORS FIFTH OMNIBUS OBJECTION TO CLAIMS ( ) PLEASE TAKE NOTICE that on February 13, 2018, Westinghouse ( WEC ) certain of its affiliates, as debtors debtors in possession in the above-captioned chapter 11 cases (collectively, the Debtors ) filed the annexed Fifth Omnibus to (the ), pursuant to sections 105(a) 502(b) of title 11 of the United States Code (the Bankruptcy Code ) Rule 3007(d) of the Federal Rules of Bankruptcy Procedure (the Bankruptcy Rules ). A hearing on the relief requested in the has been requested on March 20, 2018 at 11:00 a.m. (Eastern Time) (the Hearing ) before the Honorable Michael E. Wiles in the United States Bankruptcy Court 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 (0933), CE Nuclear Power International, Inc. (8833), Fauske 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 (2348), WEC Carolina Energy Solutions, Inc. (8735), WEC Carolina Energy Solutions, LLC (2002), WEC Engineering (6759), WEC Equipment & Machining Solutions, LLC (3135), WEC Specialty LLC (N/A), WEC Welding Machining, LLC (8771), WECTEC Contractors Inc. (4168), WECTEC (8572), WECTEC LLC (6222), WECTEC Staffing Services LLC (4135), Westinghouse Energy Systems LLC (0328), Westinghouse Industry Products International (3909), Westinghouse International Technology LLC (N/A), Westinghouse Technology Licensing (5961). The Debtors principal offices are located at 1000 Westinghouse Drive, Cranberry Township, Pennsylvania 16066. 1 WEIL:\96418573\5\80768.0017 1 g's2"f;«1710751180213000000000038

Pg 2 of 39 for the Southern District of New York, located at One Bowling Green, New York, New York 10004 (the Bankruptcy Court ). The requests that the Bankruptcy Court expunge, reduce, reclassify, /or disallow one or more claims listed on Exhibit 1 to the Proposed Order, which is attached as Exhibit A to the, on the ground that such claim or claims have been amended superseded by a subsequently filed claim identified on under the heading Surviving. Any claim that the Bankruptcy Court expunges disallows will be treated as if it had not been filed will not be entitled to any distribution on account thereof. If you filed the applicable proof of claim you do NOT oppose the disallowance, expungement, reduction or reclassification of your claim(s) as specified on Exhibit 1, then you do NOT need to file a written response to the you do NOT need to appear at the hearing. If you filed the applicable proof of claim you DO oppose the disallowance, expungement, reduction or reclassification of your claim(s) listed on then you MUST file with the Court serve on the parties listed below a written response ( Response ) to the that is received on or before 4:00 p.m. Eastern Time on March 13, 2018 (the Response Deadline ). Any Response must contain, at a minimum, the following: (i) a caption setting forth the name of the Bankruptcy Court, the names of the Debtors, the case number the title of the to which the response is directed; (ii) the name of the claimant description of the basis for the amount of the claim; (iii) a concise statement setting forth the reasons why the claim should not be disallowed, expunged, reduced, or reclassified for the reasons set forth in the, including, but not limited to, the specific factual legal bases which will be relied upon in opposing the ; (iv) all documentation or other evidence of the claim, to the extent not included with the proof of claim previously filed with the Bankruptcy Court, which will be relied upon in opposing the ; (v) the address(es) to which the Debtors must return any reply to a Response, if different from that presented in the proof of claim; (vi) the name, address, telephone number of the person (which may be the claimant or a legal representative) possessing ultimate authority to reconcile, settle, or otherwise resolve the claim on behalf of the claimant. Any Response to the Motion must be in writing, shall conform to the Federal Rules of Bankruptcy Procedure the Local Bankruptcy Rules, shall be filed with the Bankruptcy Court (a) by attorneys practicing in the Bankruptcy Court, including attorneys admitted pro hac vice, electronically in accordance with General Order M-399 (which can be found at www.nysb.uscourts.gov), (b) by all other parties in interest, on a CD-ROM, in textsearchable portable document format (PDF) (with a hard copy delivered directly to Chambers), in accordance with the customary practices of the Bankruptcy Court General Order M-399, to the extent applicable, served in accordance with General Order M-399 the Order Pursuant to 11 U.S.C. 105(a) Fed. R. Bankr. P. 1015(c) 9007 Implementing Certain WEIL:\96418573\5\80768.0017

Pg 3 of 39 Notice Case Management Procedures, dated April 4, 2017 [ECF No. 101], so as to be filed received no later than March 13, 2018 at 4:00 p.m. (Eastern Time). If you file a written Response to the, you should plan to appear at the Hearing. The Debtors, however, reserve the right to continue the hearing on the with respect to claim(s) for which a Response has been received. If the Debtors do continue the hearing with respect to such claim(s), then the hearing will be held at a later date. If the Debtors do not continue the hearing with respect to such claim(s), then a hearing on the will be conducted on the above date. If no Responses are timely filed served with respect to the, the Debtors may, on or after the Response Deadline, submit to the Bankruptcy Court an order substantially in the form of the proposed order annexed to the, which order may be entered with no further notice or opportunity to be heard. Dated: February 13, 2018 New York, New York /s/ Robert J. Lemons Gary T. Holtzer Robert J. Lemons Garrett A. Fail David N. Griffiths WEIL, GOTSHAL & MANGES LLP 767 Fifth Avenue New York, New York 10153 Telephone: (212) 310-8000 Facsimile: (212) 310-8007 Attorneys for Debtors Debtors in Possession -- Albert Togut Kyle J. Ortiz Brian F. Moore TOGUT, SEGAL & SEGAL LLP One Penn Plaza, Suite 3335 New York, New York 10119 Telephone: (212) 594-5000 Facsimile: (212) 967-4258 Attorneys for Debtor Toshiba Nuclear Energy Holdings (UK) Limited WEIL:\96418573\5\80768.0017

Pg 4 of 39 HEARING DATE AND TIME: March 20, 2018 at 11:00 a.m. (Eastern Time) RESPONSE DEADLINE: March 13, 2018 at 4:00 p.m. (Eastern Time) THIS OMNIBUS OBJECTION TO CLAIMS SEEKS TO DISALLOW AND EXPUNGE CERTAIN FILED PROOFS OF CLAIM. PLEASE CAREFULLY REVIEW THIS OBJECTION AND THE ATTACHMENTS HERETO TO DETERMINE WHETHER THE OBJECTION AFFECTS ANY CLAIM YOU MAY HAVE FILED. IF YOU HAVE QUESTIONS, PLEASE CONTACT DEBTORS COUNSEL, OLGA F. PESHKO, AT 212-310-8042. WEIL, GOTSHAL & MANGES LLP 767 Fifth Avenue New York, New York 10153 Telephone: (212) 310-8000 Facsimile: (212) 310-8007 Gary T. Holtzer Robert J. Lemons Garrett A. Fail David N. Griffiths Attorneys for Debtors Debtors in Possession UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK ------------------------------------------------------------ x In re : Chapter 11 : TOGUT, SEGAL & SEGAL LLP One Penn Plaza, Suite 3335 New York, New York 10119 Telephone: (212) 594-5000 Facsimile: (212) 967-4258 Albert Togut Kyle J. Ortiz Brian F. Moore Attorneys for Debtor Toshiba Nuclear Energy Holdings (UK) Limited WESTINGHOUSE ELECTRIC COMPANY : Case No. 17-10751 (MEW) LLC, et al., : : : Debtors. 1 : (Jointly Administered) : ------------------------------------------------------------ x DEBTORS FIFTH OMNIBUS OBJECTION TO CLAIMS ( ) 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 (0933), CE Nuclear Power International, Inc. (8833), Fauske 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 (2348), WEC Carolina Energy Solutions, Inc. (8735), WEC Carolina Energy Solutions, LLC (2002), WEC Engineering (6759), WEC Equipment & Machining Solutions, LLC (3135), WEC Specialty LLC (N/A), WEC Welding Machining, LLC (8771), WECTEC Contractors Inc. (4168), WECTEC (8572), WECTEC LLC (6222), WECTEC Staffing Services LLC (4135), Westinghouse Energy Systems LLC (0328), Westinghouse Industry Products International (3909), Westinghouse International Technology LLC (N/A), Westinghouse Technology Licensing (5961). The Debtors principal offices are located at 1000 Westinghouse Drive, Cranberry Township, Pennsylvania 16066. WEIL:\96418573\5\80768.0017

Pg 5 of 39 TO THE HONORABLE MICHAEL E. WILES, UNITED STATES BANKRUPTCY JUDGE: Westinghouse ( WEC ) certain of its affiliates, as debtors debtors in possession in the above-captioned chapter 11 cases (collectively, the Debtors ), respectfully represent: Background 1. On March 29, 2017 (the Petition Date ), each Debtor commenced with this Court a voluntary case under chapter 11 of title 11 of the United States Code (the Bankruptcy Code ). The Debtors are authorized to continue to operate their businesses manage their properties as debtors in possession pursuant to sections 1107(a) 1108 of the Bankruptcy Code. No trustee or examiner has been appointed in these chapter 11 cases. 2. The Debtors chapter 11 cases are being jointly administered for procedural purposes only pursuant to Rule 1015(b) of the Federal Rules of Bankruptcy Procedure (the Bankruptcy Rules ). 3. On April 7, 2017, the United States Trustee for Region 2 appointed the Official Committee of Unsecured Creditors (the UCC ) pursuant to section 1102 of the Bankruptcy Code. On October 2, 2017, the Trustee filed an amended notice of appointment [Docket No. 1431] removing South Carolina & Gas Company from the list of unsecured creditors appointed to serve on the UCC. On December 19, 2017, the U.S. Trustee filed a second amended notice of appointment [ECF No. 1954] removing Georgia Power Company from the UCC. 4. On June 28, 2017, the Court entered an order (the Bar Date Order ) establishing September 1, 2017 at 5:00 p.m. (Eastern Time) as the deadline (the Bar Date ) by WEIL:\96418573\5\80768.0017

Pg 6 of 39 which proofs of claim (each a Proof of Claim ), other than those filed by a governmental unit, were required to be filed to assert claims (each a Claim ) in these chapter 11 cases [Docket No. 788]. Pursuant to the Bar Date Order, governmental units were required to assert their claims so that they were actually received on or before September 25, 2017 at 5:00 p.m. (Eastern Time). 5. Additional information regarding the Debtors business, capital structure, the circumstances leading to the commencement of these chapter 11 cases is set forth in the Declaration of Lisa J. Donahue Pursuant to Rule 1007-2 of the Local Bankruptcy Rules for the Southern District of New York, sworn to filed on the Petition Date [Docket No. 4]. Jurisdiction 6. This Court has jurisdiction to consider this matter pursuant to 28 U.S.C. 157 1334. This is a core proceeding pursuant to 28 U.S.C. 157(b). Venue is proper before this Court pursuant to 28 U.S.C. 1408 1409. Relief Requested 7. The Debtors file this omnibus objection to claims, pursuant to section 502(b) of the Bankruptcy Code Bankruptcy Rule 3007(d), seeking entry of an order, substantially in the form annexed hereto as Exhibit A (the Proposed Order ), disallowing expunging certain claims listed on Exhibit 1, as further described herein. 8. Upon a review of the claims register, the Debtors have concluded that the proofs of claim identified on listed under the heading to be Disallowed Expunged (collectively, the ) have been amended superseded by a subsequently filed claim identified on under the heading Surviving (collectively, the Surviving ). WEIL:\96418573\5\80768.0017

Pg 7 of 39 9. To ensure that the claims register is accurate does not inaccurately overstate the Debtors liabilities to avoid the possibility of multiple recoveries on account of the same liability, the Debtors seek entry of the Proposed Order disallowing expunging the from the claims register. 10. The Debtors request that each Surviving Claim be deemed to have been filed on the date the original corresponding Claim was filed by a claimant, that the supporting documentation filed with each Claim be deemed incorporated into the corresponding Surviving Claim. 11. The Debtors reserve their right to later object to any Surviving Claim on the basis that the claims alleged in a Surviving Claim are not amendments to the original corresponding Claim, but constitute new late-filed claims. The Debtors also reserve their rights to later object to any Surviving Claim on any other basis, to object to any claim as to which the Court does not grant the relief requested herein on any other basis. The Should Be Disallowed 12. A filed proof of claim is deemed allowed, unless a party in interest... objects. 11 U.S.C. 502(a). Bankruptcy Rule 3007(d) permits a debtor to file objections to more than one claim on the basis that, among other things, such claims have been amended by subsequently filed proofs of claim. Fed. R. Bankr. P. 3007(d)(1), (3). Upon an objection, the claimant has the burden to demonstrate the validity of the claim. See Residential Capital, LLC, 2016 WL 796860, at *9 (S.D.N.Y. 2016); In re Arcapita Bank B.S.C.(c), 2013 WL 6141616, at *1 (Bankr. S.D.N.Y. 2013), aff'd sub nom. In re Arcapita Bank B.S.C.(c), 508 B.R. 814 (S.D.N.Y. 2014); In re Motors Liquidation Co., 2012 WL 1886755, at *3 (S.D.N.Y. 2012); In re WEIL:\96418573\5\80768.0017

Pg 8 of 39 Oneida, Ltd., 400 B.R. 384, 389 (Bankr. S.D.N.Y. 2009), aff d, No. 09 Civ. 2229 (DC), 2010 WL 234827, at *5 (S.D.N.Y. Jan. 22, 2010). 13. that are amended superseded by subsequent claims filed by the same creditor are routinely disallowed expunged. See, e.g., Holzer v. Barnard, 2016 WL 4046767, at *5 (E.D.N.Y. July 27, 2016); see e.g., In re Dewey & Leboeuf LLP, 2014 WL 201586, at *2 (Bankr. S.D.N.Y. Jan. 16, 2014) (finding that [C]laim number 833 states a claim by the same creditor for the same purported liability identified in the later-filed Stanwyck Claim... The Court therefore concludes that claim number 833 was amended superseded by the Stanwyck Claim, claim number 833 should therefore be disallowed expunged. ); In re Enron Corp., Case No. 01 B 16034(AJG), 2005 WL 3874285, at *1 n.1 (Bankr. S.D.N.Y. Oct. 5, 2005) (noting that [i]n as much as the Initial Claim was amended superseded by the Claim, it was disallowed expunged.... ). The Debtors have determined that each Claim has been amended superseded by the corresponding, subsequently-filed Surviving Claim. 14. Accordingly, the Debtors seek entry of an order disallowing expunging the. Reservation of Rights 15. The Debtors hereby reserve the right to object in the future to any of the proofs of claim listed in this objection on any ground, to amend, modify, /or supplement this objection to the extent an objection to a claim is not granted. The does not affect any of the Surviving does not constitute any admission or finding with respect to the amount, priority, or validity of the Surviving. WEIL:\96418573\5\80768.0017

Pg 9 of 39 16. As stated above, the Debtors reserve the right to later object to any Surviving Claim on the basis that the claims alleged in a Surviving Claim are not amendments to the original corresponding Claim, but constitute new late-filed claims. The Debtors also reserve the right to later object to any Surviving Claim on any other basis, to object to any claim as to which the Court does not grant the relief requested herein on any other basis. 17. Notwithsting anything contained in this or the attached exhibits, nothing herein shall be construed as a waiver of any rights that the Debtors may have to (a) bring avoidance actions under the applicable sections of the Bankruptcy Code against holders of claims subject to the or (b) exercise their right of setoff against the holders of such claims related to such avoidance actions. Notice 18. Notice of this has been provided in accordance with Bankruptcy Rule 3007 the Order Pursuant to 11 U.S.C. 105(a) Fed. R. Bankr. P. 1015(c) 9007 Implementing Certain Notice Case Management Procedures, dated April 4, 2017 [ECF No. 101]. The Debtors submit that, in view of the facts circumstances, such notice is sufficient no other or further notice need be provided. 19. No previous request for the relief sought herein has been made by the Debtors to this or any other Court. WEIL:\96418573\5\80768.0017

Pg 10 of 39 WHEREFORE the Debtors respectfully request entry of an order granting the relief requested herein such other further relief as is just. Dated: February 13, 2018 New York, New York /s/ Robert J. Lemons Gary T. Holtzer Robert J. Lemons Garrett A. Fail David N. Griffiths WEIL, GOTSHAL & MANGES LLP 767 Fifth Avenue New York, New York 10153 Telephone: (212) 310-8000 Facsimile: (212) 310-8007 Attorneys for Debtors Debtors in Possession -- Albert Togut Kyle J. Ortiz Brian F. Moore TOGUT, SEGAL & SEGAL LLP One Penn Plaza, Suite 3335 New York, New York 10119 Telephone: (212) 594-5000 Facsimile: (212) 967-4258 Attorneys for Debtor Toshiba Nuclear Energy Holdings (UK) Limited WEIL:\96418573\5\80768.0017

Pg 11 of 39 Exhibit A Proposed Order WEIL:\96418573\5\80768.0017

Pg 12 of 39 UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK ------------------------------------------------------------ x In re : Chapter 11 : WESTINGHOUSE ELECTRIC COMPANY : Case No. 17-10751 (MEW) LLC, et al., : : : Debtors. 1 : (Jointly Administered) : ------------------------------------------------------------ x ORDER GRANTING DEBTORS FIFTH OMNIBUS OBJECTION TO CLAIMS ( ) Upon the Fifth Omnibus to ( ), filed on February 13, 2018 (ECF No. [ ]) (the ) by Westinghouse certain of its affiliates, as debtors debtors in possession in the abovecaptioned chapter 11 cases (collectively, the Debtors ), pursuant to section 502(b) of title 11 of the United States Code (the Bankruptcy Code ) Rule 3007(d) of the Federal Rules of Bankruptcy Procedure (the Bankruptcy Rules ); the Court having jurisdiction to consider the the relief requested therein in accordance with 28 U.S.C. 157 1334 the Sting Order of M-431, dated January 31, 2012 (Preska, C.J.); 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 (0933), CE Nuclear Power International, Inc. (8833), Fauske 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 (2348), WEC Carolina Energy Solutions, Inc. (8735), WEC Carolina Energy Solutions, LLC (2002), WEC Engineering (6759), WEC Equipment & Machining Solutions, LLC (3135), WEC Specialty LLC (N/A), WEC Welding Machining, LLC (8771), WECTEC Contractors Inc. (4168), WECTEC (8572), WECTEC LLC (6222), WECTEC Staffing Services LLC (4135), Westinghouse Energy Systems LLC (0328), Westinghouse Industry Products International (3909), Westinghouse International Technology LLC (N/A), Westinghouse Technology Licensing (5961). The Debtors principal offices are located at 1000 Westinghouse Drive, Cranberry Township, Pennsylvania 16066. WEIL:\96418573\5\80768.0017

Pg 13 of 39 consideration of the the relief requested therein being a core proceeding pursuant to 28 U.S.C. 157(b); venue being proper before this Court pursuant to 28 U.S.C. 1408 1409; due proper notice of the having been provided in accordance with Bankruptcy Rule 3007 the Order Pursuant to 11 U.S.C. 105(a) Fed. R. Bankr. P. 1015(c) 9007 Implementing Certain Notice Case Management Procedures; a hearing having been held on March 14, 2018 at 11 a.m. (Eastern Time) to consider the relief requested in the (the Hearing ); Debtors counsel having certified that no responses to the claims to be expunged pursuant to this order were filed or received; the Court having found determined that the relief sought in the is in the best interests of the Debtors, their estates, creditors, all parties in interest, that the legal factual bases set forth in the establish just cause for the relief granted herein; after due deliberation sufficient cause appearing therefor, it is ORDERED that the relief requested in the is granted to the extent set forth herein; it is further ORDERED that, pursuant to section 502(b) of the Bankruptcy Code Bankruptcy Rule 3007, each of the claims listed under the heading to be Disallowed Expunged on Exhibit 1 annexed hereto (collectively, the ) is hereby disallowed expunged; it is further ORDERED that nothing herein shall constitute an admission or finding concerning the amount, priority, or validity of any of the claims listed under the heading Surviving on Exhibit 1 annexed hereto (collectively, the Surviving ); it is further WEIL:\96418573\5\80768.0017 2

Pg 14 of 39 ORDERED that each of the Surviving is deemed to have been filed on the date the original corresponding Claim was filed by a claimant, provided, however, that the Debtors rights to later object to any Surviving Claim on the basis that the claims alleged in a Surviving Claim were not amendments to the original corresponding Claim, but constitute new /or late-filed claims, to later object to any Surviving Claim on any other basis, are hereby preserved; it is further ORDERED that the supporting documentation filed with each Claim is hereby deemed incorporated into the corresponding Surviving Claim; it is further ORDERED that the Debtors, the Debtors claims noticing agent, Kurtzman Carson Consultants LLC, the Clerk of this Court are authorized to take all actions necessary or appropriate to give effect to this Order; it is further ORDERED that this Court shall retain jurisdiction over the Debtors the claimants whose claims are subject to the with respect to any matters related to or arising from the or the implementation of this Order. Dated:, 2018 New York, New York HONORABLE MICHAEL E. WILES UNITED STATES BANKRUPTCY JUDGE WEIL:\96418573\5\80768.0017 3

Pg 15 of 39 WEIL:\96418573\5\80768.0017

Fifth Omnibus Pg 16 of 39 Westinghouse, et al. ABB Inc. Name Address of Claimant Claim # Debtor 280 Trumbull Street Hartford, CT 06103 Claim Amount 2850 Westinghouse $4,543,785.06 $4,543,785.06 ABB Inc. Hartford, CT 06492 Name Address of Claimant Claim # Debtor Robinson Cole LLP 280 Trumbull Street 2901 WECTEC Claim Amount $2,665,498.41 $1,878,286.65 $4,543,785.06 AIRGAS USA LLC 2015 VAUGHN RD, BLDG 400 KENNESAW, GA 30144 1518 WECTEC $13,639.30 $40,441.01 $54,080.31 Airgas USA LLC 2015 Vaughn Rd, Bldg 400 Kennesaw, GA 30144 Claim Transfered To: ZA Credit, L.L.C. c/o Corporation Trust Company Corporation Trust Center 1209 Orange Street Wilmington, DE 19801 3381 WECTEC $13,639.30 $19,426.73 $33,066.03 AMERICAN ALTERNATIVE INSURANCE CORPORATION 1475 E WOODFIELD RD SUITE 500 SCHAUMBURG, IL 60173 527 Toshiba Nuclear Energy Holdings (UK) Limited $150,000.00 AMERICAN ALTERNATIVE INSURANCE CORPORATION 1475 E WOODFIELD RD SUITE 500 SCHAUMBURG, IL 60173 1467 Westinghouse $166,388.24 $150,000.00 $166,388.24 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 1

Fifth Omnibus Pg 17 of 39 Westinghouse, et al. Name Address of Claimant Claim # Debtor Augusta Industrial Services, Inc. P.O. Box 6630 Augusta, GA 30916 Claim Amount 1222 WECTEC $1,952,342.37 $1,952,342.37 Augusta, GA 30916 Name Address of Claimant Claim # Debtor Augusta Industrial Services, Inc. P.O. Box 6630 1249 Stone & Webster Construction Inc. Claim Amount $1,952,342.37 $1,952,342.37 CB I Laurens, Inc. 2103 Research Forest Drive The Woodls, TX 77380 2787 Stone & Webster Construction Inc. $5,096.45 $809.72 CB I Laurens, Inc. 2103 Research Forest Drive The Woodls, TX 77380 3417 Stone & Webster Construction Inc. $2.23 $5,906.17 $2.23 CB I Laurens, Inc. 2103 Research Forest Drive The Woodls, TX 77380 2789 WECTEC $674,180.45 $9,457,083.22 CB I Laurens, Inc. 2103 Research Forest Drive The Woodls, TX 77380 3420 WECTEC $1,807,785.78 $5,673,477.88 $10,131,263.67 $7,481,263.66 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 2

Fifth Omnibus Pg 18 of 39 Westinghouse, et al. Name Address of Claimant Claim # Debtor CBS Corporation Gickfield, Fields & Jacobson LLP 8383 Wilshire Blvd., Suite 341 Beverly Hills, CA 90211 Claim Amount 2220 Westinghouse CBS Corporation Name Address of Claimant Claim # Debtor 8383 Wilshire Blvd., Suite 341 Beverly Hills, CA 90211 3439 Westinghouse Claim Amount Constellation NewEnergy - Gas Division, LLC 1310 Point Street 12th Floor Baltimore, MD 21231 1616 Westinghouse $1,023.76 $8,313.93 Constellation NewEnergy - Gas Division, LLC 1310 Point Street 12th Floor Baltimore, MD 21231 3402 Westinghouse $1,023.76 $6,014.27 $9,337.69 $7,038.03 Converse Resource Group, Inc. Johnson, Smith, Hibbard Wildman Law Firm, LLP Post Office Drawer 5587 897 WECTEC $21,647.42 Converse Resource Group, Inc. 220 N Church St., Ste. 4 2575 WECTEC $9,706.01 Spartanburg, SC 29304-5587 $21,647.42 Spartanburg, SC 29306 $11,941.41 $21,647.42 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 3

Fifth Omnibus Pg 19 of 39 Westinghouse, et al. Name Address of Claimant Claim # Debtor Cranberry Township 2525 Rochester Road Suite 400 Cranberry Township, PA 16066-6499 Claim Amount 2855 Westinghouse $3,800.76 $3,800.76 Name Address of Claimant Claim # Debtor CRANBERRY TOWNSHIP, PA 2525 Rochester Road Suite 400 Cranberry Township, PA 16066-6499 3408 Westinghouse Claim Amount $18,896.36 $18,896.36 Curtiss Wright Flow Control Company Canada, Farris Engineering Division 405 N. King Street 1963 Westinghouse Curtiss-Wright Flow Control Company Canada, Farris Enineering Division Whiteford, Taylor Preston LLC The Renaissance Centre, Suite 500 405 North King Street 3454 Westinghouse Wilmington, DE 19801-3700 $115,548.00 $115,548.00 Wilmington DE $118,301.12 $118,301.12 Curtiss-Wright Flow Control Company Canada, Farris Engineering Division Whiteford, Taylor Preston LLC 405 N. King Street Suite 500 3319 Westinghouse Curtiss-Wright Flow Control Company Canada, Farris Enineering Division Whiteford, Taylor Preston LLC The Renaissance Centre, Suite 500 405 North King Street 3455 Westinghouse Wilmington, DE 19801 $38,857.00 $38,857.00 Wilmington DE $131,479.00 $131,479.00 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 4

Fifth Omnibus Pg 20 of 39 Westinghouse, et al. Name Address of Claimant Claim # Debtor Dell EMC aka EMC Corporation One Dell Way, RR1, MS 52 Round Rock, TX 78682 Claim Amount 830 Westinghouse $43,472.00 $43,472.00 Name Address of Claimant Claim # Debtor Dell EMC aka EMC Corporation One Dell Way, RR1, MS 52 Round Rock, TX 78682 3423 Westinghouse Claim Amount $124,194.00 $124,194.00 Eaton Corporation 1000 Eaton Blvd., N3 Clevel, OH 44122 2437 WECTEC $3,414,052.96 Eaton Corporation 1000 Eaton Blvd., N3 Clevel, OH 44122 3378 WECTEC $2,248,212.09 $1,761,248.59 $3,414,052.96 $4,009,460.68 Eaton Corporation 1000 Eaton Blvd., N3 Clevel, OH 44122 2435 Westinghouse $57,862.19 Eaton Corporation 1000 Eaton Blvd., N3 Clevel, OH 44122 3379 Westinghouse $27,846.99 $57,862.19 $27,846.99 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 5

Fifth Omnibus Pg 21 of 39 Westinghouse, et al. EvapTech, Inc. Name Address of Claimant Claim # Debtor 5151 Allendale Lane Taneytown, MD 21787 Claim Amount 2507 Westinghouse $9,933,935.10 $9,933,935.10 EvapTech, Inc. 5151 Allendale Lane Taneytown, MD 21787 Name Address of Claimant Claim # Debtor 3357 Westinghouse Claim Amount $11,282,629.21 $11,282,629.21 EvapTech, Inc. 5151 Allendale Lane Taneytown, MD 21787 2581 WECTEC Contractors Inc. $9,933,935.10 EvapTech, Inc. 5151 Allendale Lane Taneytown, MD 21787 3359 WECTEC Contractors Inc. $11,282,629.21 $9,933,935.10 $11,282,629.21 EvapTech, Inc. 5151 Allendale Lane Taneytown, MD 21787 2651 WECTEC LLC EvapTech, Inc. 5151 Allendale Lane Taneytown, MD 21787 3361 WECTEC LLC $9,933,935.10 $11,282,629.21 $9,933,935.10 $11,282,629.21 EvapTech, Inc. 5151 Allendale Lane Taneytown, MD 21787 2599 WECTEC $9,933,935.10 EvapTech, Inc. 5151 Allendale Lane Taneytown, MD 21787 3365 WECTEC $11,282,629.21 $9,933,935.10 $11,282,629.21 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 6

Fifth Omnibus Pg 22 of 39 Westinghouse, et al. Name Address of Claimant Claim # Debtor FedEx Custom Critical P.O. Box 361345 Columbus, OH 43236 Claim Amount 296 Westinghouse $8,041.33 $8,041.33 FedEx Custom Critical P.O. Box 361345 Columbus, OH 43236 Name Address of Claimant Claim # Debtor 326 Westinghouse Claim Amount $11,504.08 $11,504.08 Fickess Pumps Inc. 1651 Route 68 New Brighton, PA 15066 633 Westinghouse $1,131.00 FICKESS PUMPS 1651 RTE 68 NEW BRIGHTON, PA 15066-4214 884 Westinghouse $1,131.00 $1,131.00 $1,131.00 Flowserve Corporation Strasburger & Price LLP 901 Main Street, Suite 6000 Dallas, TX 75202 2390 Westinghouse $2,593,642.45 Flowserve Corporation Strasburger & Price LLP 901 Main Street, Suite 6000 Dallas, TX 75202 3432 Westinghouse $3,689,789.10 $2,593,642.45 $3,689,789.10 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 7

Fifth Omnibus Pg 23 of 39 Westinghouse, et al. Name Address of Claimant Claim # Debtor FRANCHISE TAX BOARD PO BOX 2952 SACRAMENTO, CA 95812-2952 Claim Amount 3102 PaR Nuclear, Inc. $1,652.92 Name Address of Claimant Claim # Debtor FRANCHISE TAX BOARD PO BOX 2952 SACRAMENTO, CA 95812-2952 3393 PaR Nuclear, Inc. Claim Amount $1,652.92 FRANCHISE TAX BOARD PO BOX 2952 SACRAMENTO, CA 95812-2952 3099 WEC Carolina Energy Solutions, Inc. FRANCHISE TAX BOARD PO BOX 2952 SACRAMENTO, CA 95812-2952 3394 WEC Carolina Energy Solutions, Inc. FRANCHISE TAX BOARD PO BOX 2952 SACRAMENTO, CA 95812-2952 3100 TSB Nuclear Energy Services Inc. $381,306.32 FRANCHISE TAX BOARD PO BOX 2952 SACRAMENTO, CA 95812-2952 3395 TSB Nuclear Energy Services Inc. $381,306.32 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 8

Fifth Omnibus Pg 24 of 39 Westinghouse, et al. Name Address of Claimant Claim # Debtor FRANCHISE TAX BOARD PO BOX 2952 SACRAMENTO, CA 95812-2952 Claim Amount 3105 PCI Energy Services LLC $476.00 $476.00 Name Address of Claimant Claim # Debtor FRANCHISE TAX BOARD PO BOX 2952 SACRAMENTO, CA 95812-2952 3396 WEC Engineering Claim Amount Greenberry Industrial, LLC NAES Corporation 1180 NW Maple Street, Suite 200 Issaquah, WA 98027 9 Westinghouse $2,787,586.63 Greenberry Industrial, LLC Perkins Coie, LLP 1201 Third Avenue, Ste. 4900 Seattle, WA 98101 3369 Westinghouse $3,818,617.49 $2,787,586.63 $3,818,617.49 Greenberry Industrial, LLC Perkins Coie, LLP 1201 Third Ave, Ste. 4900 Seattle, WA 98101 3063 Westinghouse $4,592,194.44 Greenberry Industrial, LLC Perkins Coie, LLP 1201 Third Avenue, Ste. 4900 Seattle, WA 98101 3369 Westinghouse $3,818,617.49 $4,592,194.44 $3,818,617.49 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 9

Fifth Omnibus Pg 25 of 39 Westinghouse, et al. Name Address of Claimant Claim # Debtor Gregory A. Gisoni 1201 N. Orange Street Suite 300 Wilmington, DE 19801 Claim Amount 1782 Toshiba Nuclear Energy Holdings (UK) Limited $1,354,014.23 $1,354,014.23 Gregory A. Gisoni Wilmington, DE 19801 Name Address of Claimant Claim # Debtor Gellert Scali Busenkell Brown, LLC 1201 N. Orange Street, Suite 300 3247 Westinghouse Claim Amount $1,399,181.53 $1,399,181.53 Gutor Electronic LLC Hinckley Allen Snyder LLP 28 State Street Boston, MA 02109 2470 Westinghouse $4,519,404.00 Gutor Electronic LLP Hinckley Allen Snyder 28 State Street Boston, MA 02109 3356 Westinghouse $4,519,405.00 $4,519,404.00 $4,519,405.00 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 10

Fifth Omnibus Pg 26 of 39 Westinghouse, et al. Name Address of Claimant Claim # Debtor Harris Acquisition III, LLC d/b/a Superior Air Hling Fredrikson And Byron, P.A. 200 South Sixth Street, Suite 4000 Minneapolis, MN 55402 Claim Amount 2984 Westinghouse $371,418.00 $6,331,646.09 $6,703,064.09 Name Address of Claimant Claim # Debtor Harris Acquisition III, LLC d/b/a Superior Air Hling Fredrikson And Byron, P.A. 200 South Sixth Street, Suite 4000 Minneapolis, MN 55402 3364 Westinghouse Claim Amount $1,746,882.57 $6,826,297.72 $8,573,180.29 Harris Acquisition III, LLC d/b/a Superior Air Hling Fredrikson And Byron, P.A. 200 South Sixth Street, Suite 4000 2994 WECTEC $371,418.00 Harris Acquisition III, LLC d/b/a Superior Air Hling Fredrikson And Byron, P.A. 200 South Sixth Street, Suite 4000 3366 WECTEC $1,746,882.57 Minneapolis, MN 55402 $6,331,646.09 $6,703,064.09 Minneapolis, MN 55402 $6,826,297.72 $8,573,180.29 Harris Acquisition III, LLC d/b/a Superior Air Hling Fredrikson And Byron, P.A. 200 South Sixth Street, Suite 4000 Minneapolis, MN 55402 2987 WECTEC Contractors Inc. $371,418.00 $6,331,646.09 Harris Acquisition III, LLC d/b/a Superior Air Hling Fredrikson And Byron, P.A. 200 South Sixth Street, Suite 4000 Minneapolis, MN 55402 3367 WECTEC Contractors Inc. $1,746,882.57 $6,826,297.72 $6,703,064.09 $8,573,180.29 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 11

Fifth Omnibus Pg 27 of 39 Westinghouse, et al. Name Address of Claimant Claim # Debtor Hydratight Operations, Inc. 10333 Richmond Ave Suite #1000 Houston, TX 77042 Claim Amount 1856 Westinghouse Industry Products International $21,253.01 $21,253.01 Houston TX Name Address of Claimant Claim # Debtor Hydratight Operations, Inc. 10333 Richmond Ave Suite #1000 3449 Westinghouse Industry Products International Claim Amount $910.92 $910.92 Hydratight Operations, Inc. 10333 Richmond Ave Suite #1000 Houston, TX 77042 1859 PCI Energy Services LLC $1,418,970.70 Hydratight Operations, Inc. 10333 Richmond Ave Suite #1000 Houston TX 3450 PCI Energy Services LLC $1,234,053.03 $1,418,970.70 $1,234,053.03 Hydratight Operations, Inc. 10333 Richmond Ave Suite #1000 Houston, TX 77042 1858 Westinghouse $1,476,281.04 Hydratight Operations, Inc. 10333 Richmond Ave Suite #1000 Houston TX 3451 Westinghouse $1,238,953.95 $1,476,281.04 $1,238,953.95 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 12

Fifth Omnibus Pg 28 of 39 Westinghouse, et al. Intertest, Inc. 303 Route 94 Name Address of Claimant Claim # Debtor Columbia, NJ 07832 Claim Amount 149 PCI Energy Services LLC $16,875.00 $16,875.00 INTERTEST 303 RT 94 Name Address of Claimant Claim # Debtor COLUMBIA, NJ 07832 1424 WEC Equipment & Machining Claim Amount $20,445.00 $20,750.00 $41,195.00 Jones Lang LaSalle Americas, Inc. c/o FrankGecker, LLP 325 North LaSalle Street Suite 625 2852 Stone & $470,761.32 Webster Services LLC Jones Lang LaSalle Americas, Inc. FrankGecker LLP 325 North LaSalle Street, Suite 625 3398 Stone & Webster Services LLC Chicago, IL 60654 $470,761.32 Chicago, IL 60654 $472,180.52 $472,180.52 Jones Lang LaSalle Americas, Inc. FrankGecker LLP 325 North LaSalle Street, Suite 625 Chicago, IL 60654 2368 Westinghouse $13,602.48 $5,031,084.65 Jones Lang LaSalle Americas, Inc. FrankGecker LLP 325 North LaSalle Street, Suite 625 Chicago, IL 60654-6465 3399 Westinghouse $13,602.48 $4,796,887.73 $5,044,687.13 $4,810,490.21 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 13

Fifth Omnibus Pg 29 of 39 Westinghouse, et al. Name Address of Claimant Claim # Debtor Louisiana Department of Revenue P.O. Box 66658 Baton Rouge, LA 70896-6658 Claim Amount 462 WEC Carolina Energy Solutions, LLC $623.17 $623.17 Name Address of Claimant Claim # Debtor Louisiana Department of Revenue P.O. Box 66658 Baton Rouge, LA 70896-6658 943 WEC Carolina Energy Solutions, LLC Claim Amount Louisiana Department of Revenue P.O. Box 66658 Baton Rouge, LA 70896-6658 455 WEC Equipment & Machining $623.17 Louisiana Department of Revenue P.O. Box 66658 Baton Rouge, LA 70896-6658 944 WEC Equipment & Machining $623.17 Maco, Inc. 521 Plato Lee Road Shelby, NC 28150 644 Westinghouse $1,806,299.13 $1,806,299.13 Maco, Inc. 521 Plato Lee Road Shelby, NC 28150 Claim Transfered To: Whitebox Multi-Strategy Partners, LP Attn Scott Specken 3033 Excelsior Blvd., Ste. 300 3403 Westinghouse $43,516.44 $695,989.33 $739,505.77 Minneapolis, MN 55416 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 14

Fifth Omnibus Pg 30 of 39 Westinghouse, et al. Name Address of Claimant Claim # Debtor Mark W. Marano Cohen & Grigsby, P.C. 625 Liberty Avenue Pittsburgh, PA 15222-3152 Claim Amount 2700 Westinghouse Mark W. Marano Pittsburgh PA Name Address of Claimant Claim # Debtor Cohen Grigsby, P.C. 625 Liberty Avenue 3452 Westinghouse Claim Amount $628,070.00 $628,070.00 Mechanical Engineering Systems Associates, Inc. 294 West Steuben Street Pittsburgh, PA 15205 353 Westinghouse $139,507.35 Mechanical Engineering Systems Associates, Inc. 294 West Steuben Street Pittsburgh, PA 15205 570 Westinghouse $36,223.42 $139,507.35 $36,223.42 Mississippi Department of Revenue PO 22808 Jackson, MS 39225-2808 489 WECTEC $4,888.93 Staffing Services LLC Mississippi Department of Revenue Post Office Box 22808 Jackson, MS 39225-2808 772 WECTEC Staffing Services LLC $4,888.93 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 15

Fifth Omnibus Pg 31 of 39 Westinghouse, et al. Name Address of Claimant Claim # Debtor NH MATERIALS LABORATORY INC 22 INTERSTATE DR SOMERSWORTH, NH 03878-1209 Claim Amount 878 Westinghouse $350.00 $60.00 $410.00 Name Address of Claimant Claim # Debtor NH MATERIALS LABORATORY 22 INTERSTATE DR SOMERSWORTH, NH 03878-1209 1480 Westinghouse Claim Amount $410.00 $410.00 Nuclear Fuel Industries, Ltd. Crowell Moring LLP 590 Madison Avenue, 20th Fl. New York, NY 10022 2126 Westinghouse $276,296.78 $26,614,426.26 Nuclear Fuel Industries, Ltd. 590 Madison Avenue, 20th Fl. New York, NY 10022 3255 Westinghouse $276,296.78 $26,803,401.13 $26,890,723.04 $27,079,697.91 Oregon Department of Revenue 955 Center St NE Salem, OR 97301-2555 634 Westinghouse $1,074.60 $533.20 Oregon Department of Revenue 955 Center St NE Salem, OR 97301-2555 3370 Westinghouse $2,353.41 $533.20 $1,607.80 $2,886.61 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 16

Fifth Omnibus Pg 32 of 39 Westinghouse, et al. Name Address of Claimant Claim # Debtor Pedrick Tool & Machine Co., Inc. PO Box 190 Riverton, NJ 08077 Claim Amount 17 Westinghouse $58,920.00 $58,920.00 Riverton, NJ 08077 Name Address of Claimant Claim # Debtor Pedrick Tool & Machine Co., Inc. 1515 River Road 1235 Westinghouse Claim Amount $58,920.00 $58,920.00 Pennsylvania Department of Revenue PO Box 280946 Harrisburg, PA 17128-0946 130 Westinghouse $17,876,996.44 Pennsylvania Department of Revenue PO Box 280946 Harrisburg PA 3447 Westinghouse $12,900,261.59 $1,037,302.34 $17,876,996.44 $13,937,563.93 Pennsylvania Department of Revenue PO Box 280946 Harrisburg, PA 17128-0946 3429 Westinghouse $14,544,224.07 $373,065.15 Pennsylvania Department of Revenue PO Box 280946 Harrisburg PA 3447 Westinghouse $12,900,261.59 $1,037,302.34 $14,917,289.22 $13,937,563.93 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 17

Fifth Omnibus Pg 33 of 39 Westinghouse, et al. Name Address of Claimant Claim # Debtor Peoples Natural Gas Company, LLC 845 North Shore Drive Pittsburgh, PA 15233 Claim Amount 798 Westinghouse $4,183.80 $4,183.80 Pittsburgh, PA 15233 Name Address of Claimant Claim # Debtor Peoples Natural Gas Company, LLC 845 North Lincoln Avenue 3372 Westinghouse Claim Amount $14,329.10 $14,329.10 Polygon US Corporation 729 Miner Road Highl Heights, OH 44143 1972 WECTEC $120,979.37 $52,432.69 Polygon US Corporation 729 Miner Road Highl Heights, OH 44143 3311 WECTEC $173,412.06 $173,412.06 $173,412.06 Prime Piping & Mechanical Inc. 57 Old Country Road, Suite L Westbury, NY 11590 627 Westinghouse $58,450.00 Prime Piping & Mechanical Inc. 57 Old Country Road, Suite L Westbury, NY 11590 3334 Westinghouse $58,450.00 $58,450.00 $58,450.00 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 18

Fifth Omnibus Pg 34 of 39 Westinghouse, et al. Name Address of Claimant Claim # Debtor Research Cottrell Cooling, Inc. 58 E Main Street Somerville, NJ 08876 Claim Amount 2081 WECTEC $904,338.70 $12,066,935.77 $12,971,274.47 Somerville, NJ 08876 Name Address of Claimant Claim # Debtor Research Cottrell Cooling, Inc. 58 East Main Street 3386 WECTEC Claim Amount $519,530.58 $12,451,743.89 $12,971,274.47 Reynolds Machine Co., Inc. 229 Potoka Mine Road Ruffsdale, PA 15679 16 Westinghouse $70,920.30 Reynolds Machine Co., Inc. 229 Potoka Mine Road Ruffsdale, PA 15679 420 Westinghouse $83,404.30 $70,920.30 $83,404.30 (1) In the "Claim Amount Priority" column, = secured claim, = administrative expense claim, = priority claim, = unsecured claim = total claim. The amounts listed are taken directly from the proofs of claim, thus replicate any mathematical errors on the proofs of claim. Where the claim amount is zero, unliquidated, unidentified, or otherwise (2) on the exhibit are sorted in alphabetical order based on the creditor name as listed on proof of claim form. Page 19