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UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF MICHIGAN SOUTHERN DIVISION IN RE: COLLINS & AIKMAN CORPORATION, et al.

Debtors. Hon. Steven W. Rhodes / AMENDED VERIFIED STATEMENT PURSUANT TO FED. R. BANKR. P. 2019 OF ERMAN, TEICHER, MILLER, ZUCKER & FREEDMAN, P.C., DECEMBER 30, 2005 Erman, Teicher, Miller, Zucker & Freedman, P.C. (Erman Teicher) hereby files its Verified Statement pursuant to Fed. R. Bankr. P. 2019(a) with regard to its representation of more than one creditor in the above-styled Chapter 11 proceeding: 1. Names and Addresses of the Creditors Represented by Erman Teicher Erman Teicher represents the following creditors in this proceeding: (a) Nissan North America, Inc. (Nissan) 983 Nissan Drive, Bin 17U Smyrna, TN 37167 Conrad Industries, Inc., d/b/a A-B Emblem (Conrad) P. O. Box 695 291 Merrimon Avenue Weaverville, NC 28787 Valeo Sylvania, LLC (Valeo Sylvania) 1231 A Avenue North Seymour, IN 47274 Connector Park Holding, LLC (Connector Park) c/o National Development 2310 Washington Street Newton Lower Falls, MA 02472 Nissan Trading Corporation - U.S.A. (Nitco) 34405 W. 12 Mile Road, Suite 225 Chapter 11 Case No. 05-55927-R (Jointly Administered)

(b)

(c)

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(e)

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Farmington Hills, MI 48331 (f) Sansome Pacific, Roxboro, LLC (Sansome) 558 Sacramento St., Ste. 400 San Francisco, CA 94111 Mid America, II, LLC (Mid America) 1848 Norwood Plaza, Ste. 214 Hurst, TX 76054

(g)

2.

Nature, Amount and Acquisition of Creditors Claims1 (a) Nissan is a customer of the Debtor and holds various pre and post-petition claims against the estate. Conrad is a vendor of the Debtors which holds a pre-petition claim for goods provided to the Debtors in the amount of $270,455.52. Valeo Sylvania is a vendor of the Debtors which holds a pre-petition claim in the amount of $209,628.73 for goods provided to the Debtors in accordance with a blanket purchase order issued by the Debtor on August 1, 2003 and its claim includes a reclamation claim in the amount of $14,215.68. Connector Parks claim against the Debtor is in an amount to be determined based on the Debtors post-petition rejection of its nonresidential real property lease with Connector Park for property located in Lowell, Massachusetts. Nitco is a customer of the Debtor and holds various pre and post-petition claims against the estate, including a reclamation claim in the amount of $142,552.51. Sansome is a lessor of property in Roxboro, N. Carolina. Sansomes claim against the Debtor is in an amount to be determined based on the Debtors post-petition rejection of its non-residential real property lease with Sansome for the property in Roxboro, N.C. Mid America is a lessor of non-residential real property in Oaklahoma City, Oklahoma. Mid Americas claim against the Debtor is in an amount to be determined based on the Debtors post-petition assumption or rejection of the subject lease.

(b)

(c)

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The amounts of claims stated herein are estimated amounts, and any amounts or descriptions of claims stated herein are provided for purposes of satisfying the requirements of Federal Rule of Bankruptcy Procedure 2019 only, and are not intended to serve as a proof of claim or any other affirmative statement or description of any claim by any creditor.

3.

Pertinent Facts and Circumstances of Employment Erman Teicher was contacted by the individuals, representatives and/or agents of

the creditors indicated above for the purpose of representing their interests in this bankruptcy proceeding.

4.

Claims Owned by Erman Teicher Neither Erman Teicher nor any of its employees or members owns any claims or

securities of the Debtors. I, Julie Beth Teicher, declare under penalty of perjury that I have read the foregoing statement and that it is true and correct to the best of my knowledge, information and belief. Respectfully submitted, ERMAN, TEICHER, MILLER, ZUCKER & FREEDMAN, P.C.

/s/ Julie Beth Teicher Julie Beth Teicher (P34300) 400 Galleria Officentre, Suite 444 Southfield, MI 48034 Phone: (248) 827-4100 Fax: (248) 827-4106 Email: jteicher@ermanteicher.com Dated: January 5, 2006
F:\cHAP11\collins & Aikman\sansome\Amended Rule 2019 statement.doc F:\CHAP11\Collins & Aikman\mid America\Amended Rule 2019 statement.doc

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