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FRIEDE GOLDMAN HALTER, INC., No. 01-bk-52173 (Bankr. S.D. Miss.)
Case Title: FRIEDE GOLDMAN HALTER, INC.
Case Type: Chapter 11 Bankruptcy
Court: U.S. Bankruptcy Court for the Southern District of Mississippi
Index Number(s): 2001bk52173, 01-bk-52173, 01-52173-KMS
Judge: Katharine M. Samson
Case Opened: April 19, 2001
Case Closed May 9, 2013
Docket Entries
Date Filed Dkt # Entry Text
Apr 19, 2001 Case Administrator assigned - Lori Lowery. (Loftin, Cynthia)
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Apr 19, 2001 1 VOLUNTARY petition under chapter 11 signed by Senior Vice President Charles R. DeCuri, 13085 Seaway Road, Gulfport, MS 39503 [Entered: 04/19/01], [KBL] LIST of Creditors Holding 20 Largest Unsecured Claims [de Cuir replaced as Senior Vice President as of 1/3/03 by Chris Cunningham], [KBL], ORIGINAL NIBS DOCKET ENTRY #1 (Entered: 04/20/2001)
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Apr 20, 2001 2 MOTION to Consolidate Cases Debtor's Emergency ExParte Motion for Order Authorizing Joint Administration of Pending Cases of Affiliated Debtors consolidate the following cases into the lead case of FRIEDE GOLDMAN HALTER, INC., case no. 01-52173 SEG - FRIEDE GOLDMAN DELAWARE, INC. 01 -52064 SEG, OFFSHORE MARINE INDEMNITY COMPANY 01-52174 SEG, FRIEDE & GOLDMAN HALTER, LTD. 01-52175 SEG, BRISSONNEAU & LOTZ MARINE USA, INC. 01-52176 SEG, FRIEDE GOLDMAN OFFSHORE, INC. 01-52177 SEG, WORLD RIG LEASING COMPANY 01-52178 SEG, HALTER MARINE, INC. 01-52179 SEG, GULF COAST FABRICATION, INC. 01-52180 SEG, HALTER MARINE GULFPORT, INC. 01-52181 SEG, HALTER MARINE SERVICES, INC. 01-52182 SEG, HALTER MARINE, INC. 01-52183 SEG, HALTER MARINE PASCAGOULA, INC. 01-52184 SEG, FRIEDE GOLDMAN HALTER ENGINEERED PRODUCTS GROUP, INC. 01-52185 SEG, UTILITY STEEL FABRICATION, INC. 01-52186 SEG, FRITZ CULVER, INC. 01-52187 SEG, AMCLYDE ENGINEERED PRODUCTS COMPANY, INC. 01-52188 SEG, AMCANE COMPANY 01-52189 SEG, MARITIME HOLDINGS, INC. 01-52190 SEG, TDI-ORANGE, L.L.C. 01-52191 SEG, TDI-HALTER, L.L.C. 01-52192 SEG, FRIEDE GOLDMAN OFFSHORE TEXAS, LIMITED PARTNERSHIP 01-52193 SEG, TID-ORANGE LIMITED PARTNERSHIP 01-52194 SEG, BLUDWORTH BOND HOLDING, INC. 01-52195 SEG, BLUDWORTH BOND LIMITED PARTNERSHIP 01-52196 SEG, BLUDWORTH BOND L.L.C. 01-52197 SEG, GRETNA MACHINE & IRON WORKS L.L.C. 01-52198 SEG, HALTER GULF REPAIR, INC. 01-52199 SEG, EQUITABLE SHIPYARDS, L.L.C. 01-52200 SEG, HALTER MARINE PANAMA CITY, INC. 01-52201 SEG, HALTER YACHTS, INC. 01-52202 SEG, MARINE CLEANING L.L.C. 01-52203 SEG, [KBL], ORIGINAL NIBS DOCKET ENTRY #2 (Entered: 04/20/2001)
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Apr 20, 2001 3 MOTION to Use Cash Collateral [Debtors' Emergency Motion for 1 Interim Order Authorizing Use of Cash Collateral, 2 Order Scheduling a Final Hearing on Use of Cash Collateral, and 3 Final Order Authorizing Use of Cash Collateral] - relief requested - normal operations, payment of utility bills, ongoing lease operating expenses, payment for goods & services to maintain normal operations, wages & employee-related expenses & other categories set forth in budget, Exhibit B [budget for 8-weeks from 4/19/01] debtor believes Foothill & the lenders, MARDA, GECC, GECPGF & Travelers may assert an interest in certain cash of certain of the debtors in the nature of cash collateral interest & believes all are adequately protected, secured or oversecured - debtors are prepared to grant secured parties liens on certain postpetition assets to the extent the alleged secured parties are secured & the debtors' use of collateral decreases the value of such liens - filed by H Ray w/Service List, [KBL], ORIGINAL NIBS DOCKET ENTRY #3 (Entered: 04/20/2001)
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Apr 20, 2001 4 MOTION [Debtors' Emergency Motion for Order Authorizing Debtors in Possession to Pay Prepetition Employee Related Claims & Honor Employee Benfit Programs in the Ordinary Course of Business filed w/Service List by H. Ray behalf debtors - relief requested, pay cer tain prepetition employee related claims & continue to honor employee benfit plans & programs in ordinary course - withholdings, employee expense reimbursement, employee benefit programs, vacation, sick leave, life insurance, long term disability insurance, dental insurance, medical insurance, AmClyde HMO 401k plan, 125 Reimbursement Choice Plan, workers compensation insurance, [KBL], ORIGINAL NIBS DOCKET ENTRY #4 (Entered: 04/20/2001)
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Apr 20, 2001 5 APPLICATION to Employ an Attorney [Debtors' Emergency Application for Order Authorizing the Employment, Nunc Pro Tunc, of Watkins & Eager, PLLC as Bankruptcy Co-Counsel & Special Corporate Counsel to Debtors] filed w/Service List by J Corlew filed w/statement & affidavit, [KBL], ORIGINAL NIBS DOCKET ENTRY #5 (Entered: 04/20/2001)
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Apr 20, 2001 6 APPLICATION to Employ an Attorney [Debtor's Emergency Application for Order Authorizing the Employment, Nunc Pro Tunc, of Andrews & Kurth L.L.P. as Attorney for Debtors] filed w/Service List, statement & affidavit by H. Ray, [KBL], ORIGINAL NIBS DOCKET ENTRY #6 (Entered: 04/20/2001)
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Apr 20, 2001 7 MOTION for Admission of Attorney Pro Hac Vice to allow Hugh Ray, John J. Sparacino, Douglas G. Walter & Allison R. Comment of Andrews & Kurth L.L.P. of Houston, Tx to be admitted pro hoc vice by comity as associate counsel of resident attorney John G. Corlew of Watkins & Eager PLLC, Jackson, MS file d w/Service list by J. Corlew, [KBL], ORIGINAL NIBS DOCKET ENTRY #7 (Entered: 04/20/2001)
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Apr 20, 2001 8 NOTICE of Hearing & & & on First Day Emergency Motions filed w/cos by H. Ray behalf debtors on 04/20/01 at 03:00 P.M. Re: Item # 3, [KBL], ORIGINAL NIBS DOCKET ENTRY #8 (Entered: 04/20/2001)
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Apr 20, 2001 9 MOTION [Debtors' Emergency Motion for Order Extending Period During Which Utility Companies May Not Alter, Refuse, or Discontinue Services to Debtors] debtors obtain electricity, natural gas, fuel, water, telephone services, internet access & other similar servi ces from over 50 utility companies. Debtor seeks extension of the 20 day period within which a particular debtor must provide adequate assurance of payment of post-petition utility services until Court enters order approving pending Adequate Assurance Motion. If Court does not approve said motion, an additional 60 days will allow debtors to contact utility companies & negotiate a mutually acceptable form of adequate asurance of payment - filed w/Service List by H. Ray, [KBL], ORIGINAL NIBS DOCKET ENTRY #9 (Entered: 04/20/2001)
Document
Apr 20, 2001 10 MOTION [Debtors' Motion for Order Approving Debtors' Method of Furnishing Adequate Assurance of Payment for Post-Petition Utility Services] debtors to provide the Utility Companies adequate assurance of payment in the form of an administrative expense priority c laim against a particular debtor for post-petition utility services rendered to a particular debtor by the Utility Companies without the need for the payment of additional deposits or other security. Each debtor shall pay all post-petition utility services as billed by check, debtor shall be given 20 days to remedy any failure if not paid, if not remedied, utility company may require debtor to pay a deposit for future service. Utility Companies will be entitled to an administrative expense claim for any past due undisputed amounts owed by debtor of post-petition utility services at time of plan confirmation - filed w/Service List by H Ray, [KBL], ORIGINAL NIBS DOCKET ENTRY #10 (Entered: 04/20/2001)
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Apr 20, 2001 11 MOTION [Debtors' Emergency Motion for Order, Under 11 U.S.C. 102 & 105 and Rules 2002[M] & 9007 of the Federal Rules of Bankruptcy Procedure, Estblishing Notice Procedures] - General Service List consists of: debtors & their counsel, UST, counsel for official committees, if no committee to 20 unsecured creditors, parties who filed notice of appearance & request for service of all pleadings & each entity having an interest are required to receive notice as required by Rules 2002[a] 2 & 3, 4001, 6004, 6006, 6007 or 9019 - filings related to use, sale, lease or abandonment of property, relief from automatic stay, use of cash collateral, obtaining credit, proposed compromises or settlements, rights under 365, application for compensation & expenses - Exceptions: meeting of creditors, dismissal, conversion to another chapter, aaccept/reject proposed plan of reorganization, objections to disclosure statement, confirmation of plan, matters regarding equity security holders, order for relief, time to file complaint to determine dischargeability of a debt, revocation of a discharge, entry of order confirming plan, summary of trustee account should case convert to chapter 7 filed w/Service List by H Ray, [KBL], ORIGINAL NIBS DOCKET ENTRY #11 (Entered: 04/20/2001)
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Apr 20, 2001 12 MOTION [Debtors' Emergency Motion for Order Granting Extension of Time to File Schedules of Assets & Liabilities, Statement of Financial Affairs, Schedules of Executory Contracts, & List of Equity Security Holders] - request for an additional 30 days [06/04/01] to file the above & additional 34 days [06/04/01] in the case of Friede Goldman Delaware, Inc. 01-52064 - filed w/Service List by H Ray, [KBL], ORIGINAL NIBS DOCKET ENTRY #12 (Entered: 04/20/2001)
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Apr 20, 2001 13 ORDER Consolidating Cases [Order Authorizing Joint Administration of Pending Cases of Affiliated Debtors] motion granted, creditor matrix is to be filed in each chapter 11 case, joint administration includes: one single docket, notices, hearings, financial reports, administrative matters. cases not jointly administered for purpose of filing proofs of claim, independent claims registers shall be maintained for each debtor cc D Walter, UST Re: Item # 2, [KBL], ORIGINAL NIBS DOCKET ENTRY #13 (Entered: 04/20/2001)
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Apr 20, 2001 14 ORDER [Order Authorizing Debtors-in-Possession to Pay Prepetition Employee-Related Claims and Honor Employee Benefit Programs in the Ordiniary Course of Business] motion is granted cc J Corlew, R Byrd, D Walter UST Re: Item # 4, [KBL], ORIGINAL NIBS DOCKET ENT RY #14 (Entered: 04/20/2001)
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Apr 20, 2001 15 ORDER [Preliminary Order Authorizng Use of Cash Collateral] All cash in debtors' bank accounts is "Cash Collateral": of one or more of the Secured Parties, debtor may use Cash Collateral as set forth in budget to exceed any line item by 10% & aggregate budget b y 5%, until further order of this Court; debtors will separately account for proceeds received postpetition from proceeds on hand as of petition date & proceeds received from collateral subject to Secured Parties' liens & security interest from proceeds r eceived from property that is not subject to the Secured Parties' liens & separately account for Cash Collateral of each Secured Party. Adequate protection for each Secured Party's interest in Cash Collateral is granted valid & perfected replacement secu rity interests in, and liens upon all assets of the debtors, all property acquired by debtors after petition date, all cash & accounts receivable of debtor attributable to Mortgaged Interest. Debtor shall make reasonable availability to Foothill, any Creditors' Committee, MARAD, GECC, GECPF and Travelers any information regarding the assets & operations in which each asserts an interest. Objections to any final relief are due by 5/10/01 @ 9:00 a.m. cc handed to J Corlew & R Byrd - mailed to D Walter & U ST Re: Item # 3, [KBL], ORIGINAL NIBS DOCKET ENTRY #15 (Entered: 04/20/2001)
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Apr 20, 2001 16 SEE FILE # 2, [KBL], ORIGINAL NIBS DOCKET ENTRY #16 (Entered: 04/20/2001)
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Apr 23, 2001 17 ORDER Amending & [AMENDED PRELIMINARY ORDER AUTHORIZING USE OF CASH COLLATERAL] amending objections to any final relief are due by 04/26/01 @ 1:00 p.m. and NOT 05/10/01 @ 9:00 a.m. with final hearing on the motion on 05/10/01 @ 10:00 a.m. FAXED to D. Walter with instruc tions to transmit to all parties participating at hearing on 4/20/01 & all other interested parties of this amended order cc mailed to UST& Re: Item # 3, [KBL], ORIGINAL NIBS DOCKET ENTRY #17 (Entered: 04/23/2001)
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Apr 23, 2001 18 ORDER [Order Admitting Associate Counsel Pro Hac Vice by Comity Hugh Ray, John J. Sparacino, Douglas G. Walter & Allison R. Comment admitted as associate counsel of resident attorney John G. Corlew cc Walter & UST Re: Item # 7, [KBL], ORIGINAL NIBS DOCKET ENTR Y #18 (Entered: 04/23/2001)
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Apr 23, 2001 19 NOTICE of Appearance filed by Jeffrey R. Barber, Alan M. Christenfeld, Dennis J. Drebsky, Anthony J. Renzi, Jr. & Charles M. Cole behalf of Ocean Rig 1 AS, Ocean Rig 2 AS, Ocean Rig ASA [collectively Ocean Rig] w/cos, [KBL], ORIGINAL NIBS DOCKET ENTRY #19 (Entered: 04/23/2001)
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