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IN T HE UNITED STAT ES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: ALLIED SYSTEMS HOLDINGS, INC., et a/., 1 Debtors.

C ha pter 11 Case No. 12-11564 (CSS) (Jointly Administered)


Rc: Docket No. 207

SUPPLE M ENTAL AFFIDAVIT OF C HRISTOPH ER J . EUSTACE IN SUPPORT OF MOTION OF DE BTORS T O RETAIN GOWLING L AFLEUR HENDERSON LLP AS CANADIAN COUNSEL NUNC PRO TUNCTO JUNE tO, 2012 Pursuant to Rule 20 14(a) of the Federal Rules of Bankruptcy Procedure (the "Ba nkruptcy Rules"), Christopher J. Eustace, being duly sworn, deposes and says: I. I am a partner of Gowling Lafleur Henderson LLP, ("Gowlings") a law firm with

a place of business at l First Canadian Place, Suite 1600, 100 King Street West, Toronto, Ontario. 2. I submit this supplemental affidavit in further support of the application [Docket

No. 207] (the " Application") of the above-captioned debtors and debtors-in-possession (the " Debtors") for an order approving the employment and retention of Gowlings as their Canadian counsel in the above-captioned chapter I I cases (the "Chapter 11 Cases"), in compliance with and to provide disclosure pursuant to sections 327 and 328 of title 11 of the United States Code (the "Ba nkruptcy Code"), Bankruptcy Rules 20 I4 and 2016, and Rules 20 14- 1 and 20 I6- l of the Local Rules of Bankruptcy Practice and Procedure of the United States Bankruptcy Court for the District of Delaware. Unless otherwise stated in this supplemental affidavit, I have personal knowledge of the facts hereinafter set forth. To the extent that any information disclosed herein

T he Debtors in these cases, along with the federal tax identification number (or Canadian business number where applicable) for each of the Debtors, are: Allied Systems Holdings, Inc. (58-0360550); Allied Automotive Group. Inc. (58-2201081); Allied Freight Broker LLC (59-2876864); Allied Systems (Canada) Company (900169283); Allied Systems. Ltd. (L. P.) {58- 1710028); Axis Areta. LLC (45-52 15545); Axis Canada Company (875688228); Axis Group, Inc. (58-2204628); Commercial Carriers, Inc. (38-0436930); CT Services, Inc. (382918187); Cord in Transport LLC (38- 1985795); F.J. Boutell Driveaway LLC (38-0365 100); GACS Incorporated (58-1944786); Logistic Systems, LLC (45-424175 1); Logistic Technology, LLC (45-4242057); QAT, Inc. (592876863); RMX LLC (3 1-096 1359); Transport Support LLC (38-2349563); and Terminal Services LLC (91 0847582). The location of the Debtors' corporate headquarters and the Debtors' address for service of process is 2302 Parklake Drive, Bldg. 15, Ste. 600, Atlanta, Georgia 30345 .

requires amendment or modification upon Gowlings' completion of further analysis, or as additiona l creditor information becomes available to it, a further supplemental affidavit will be submitted to the Court. 3. I do not believe there is any connection or interest (as such terms are used in

section 10 1( 14) of the Bankruptcy Code and Bankruptcy Rule 20 14(a)) between Gowlings and the United States Trustee or any person employed by the Office of the United States Trustee. Accordingly, I understand that the appointment of Gowlings is not prohibited by Bankruptcy Rule 2014. Executed on August 2_, 20 12 at Toronto, Ontario,

_2:__ day

Su'J_cribed and sworn to before me this August, 20 12.

-2RLFI 6293825v. I

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