
Foresight Energy LP
Case No. 20-41308
Case Background
On March 10, 2020, Foresight Energy LP and 30 affiliated debtors (collectively, the "Debtors") each filed a voluntary petition for relief under Chapter 11 of the United States Bankruptcy Code in the United States Bankruptcy Court for the District of Missouri Eastern Division. The cases are pending before the Honorable Kathy A. Surratt-States and are jointly administered under Case No. 20-41308.
Important Information & Dates
Deadline to File Claims
The Bankruptcy Court has set the following deadlines for filing proofs of claim:
- General Bar Date: May 26, 2020, at 11:59 p.m. (CT)
- Governmental Bar Date: September 8, 2020, at 11:59 p.m. (CT)
Plan and Disclosure Statement
On May 20, 2020 the Debtors filed the Disclosure Statement for their Second Amended Plan of Reorganization. On June 17, 2020, the Debtors filed their Second Amended Plan of Reorganization. A hearing to consider confirmatinon of the Plan was held on June 23, 2020. On June 30, 2020 the Effective Date of the Plan occured, and the Plan was consummated.
Please click below to view all documents related to the Plan and Disclosure Statement:
Section 341 Meeting of Creditors
In accordance with Section 341 of the Bankruptcy Code, a meeting of the Debtors' creditors was held on Wednesday, May 20, 2020 at 1:00 p.m. (Central Time.)
Please click below to view and download the 341 Notice:
Notice of Chapter 11 Bankruptcy Case
Hearing on First Day Motions
A hearing on the Debtors' First Day Motions was held on March 11, 2020 at 10:00 a.m. (CT) before the Honorable Kathy A. Surratt-States, United States Bankruptcy Court for the District of Missouri Eastern Division, Thomas F. Eagleton U.S. Courthouse, 111 South 10th Street, 4th Floor, St. Louis, MO 63102. Please click below to view and download the Debtors' First Day Motions:
Dates
Parties
Debtors' Counsel
-
Paul, Weiss, Rifkind, Wharton & Garrison LLP
1285 Avenue of the Americas
New York, NY 10019
https://www.paulweiss.com/
Phone: 212.373.3000
Fax: 212.757.3990
Paul M. Basta
Alice Belisle Eaton
Alexander Woolverton
-
Armstrong Teasdale LLP
7700 Forsyth Boulevard
Suite 1800
St. Louis, MO 63105
https://www.armstrongteasdale.com/
Phone: 314.621.5070
Fax: 314.621.5065
Richard W. Engel, Jr.
John G. Willard
Kathryn Redmond
Counsel to the Official Commitee of Unsecured Creditors
-
Affinity Law Group, LLC
1610 Des Peres Road, Suite 100
St. Louis, MO 63131
https://www.affinitylawgrp.com/
Phone: 314-872-3333
Fax: 314-872-3365
J. Talbot Sant, Jr
-
Whiteford Taylor & Preston, LLP (PA)
200 First Avenue, Third Floor
Pittsburgh, PA 15222-1512
https://www.wtplaw.com/
Phone: 412-618-5600
Michael J. Roeschenthaler
-
Whiteford Taylor & Preston, LLP (VA)
3190 Fairview Park Drive, Suite 800
Falls Church, VA 22042-4558
https://www.wtplaw.com/
Phone: 703-280-9260
Christopher A. Jones
David W. Gaffey
United States Trustee and Court Information
-
United States Bankruptcy Court
Thomas F. Eagleton U.S. Courthouse
111 South 10th Street, 4th Floor
St. Louis, MO 63102
http://www.moeb.uscourts.gov/
Phone: 314.244.4500
Fax: 314.244.4990
-
Office of the United States Trustee
111 South 10th Street
Suite 6353
St. Louis, MO 63102
https://www.justice.gov/ust-regions-r13
Phone: 314.539.2976
Fax: 314.539.2990
Debtors
Case Number | Debtor Name | Petition Date |
---|---|---|
Case Number 20-41308 | Debtor Name Foresight Energy LP | Petition Date March 10, 2020 |
Case Number 20-41309 | Debtor Name Foresight Energy GP LLC | Petition Date March 10, 2020 |
Case Number 20-41312 | Debtor Name Foresight Energy LLC | Petition Date March 10, 2020 |
Case Number 20-41316 | Debtor Name Foresight Energy Employee Services Corporation | Petition Date March 10, 2020 |
Case Number 20-41319 | Debtor Name Foresight Energy Services LLC | Petition Date March 10, 2020 |
Case Number 20-41321 | Debtor Name Foresight Receivables LLC | Petition Date March 10, 2020 |
Case Number 20-41336 | Debtor Name Sugar Camp Energy, LLC | Petition Date March 10, 2020 |
Case Number 20-41331 | Debtor Name Macoupin Energy LLC | Petition Date March 10, 2020 |
Case Number 20-41327 | Debtor Name Williamson Energy, LLC | Petition Date March 10, 2020 |
Case Number 20-41323 | Debtor Name Foresight Coal Sales LLC | Petition Date March 10, 2020 |
Case Number 20-41317 | Debtor Name Tanner Energy LLC | Petition Date March 10, 2020 |
Case Number 20-41310 | Debtor Name Sitran, LLC | Petition Date March 10, 2020 |
Case Number 20-41311 | Debtor Name Seneca Rebuild LLC | Petition Date March 10, 2020 |
Case Number 20-41313 | Debtor Name Oeneus LLC | Petition Date March 10, 2020 |
Case Number 20-41314 | Debtor Name Adena Resources, LLC | Petition Date March 10, 2020 |
Case Number 20-41318 | Debtor Name Hillsboro Transport, LLC | Petition Date March 10, 2020 |
Case Number 20-41322 | Debtor Name American Century Transport LLC | Petition Date March 10, 2020 |
Case Number 20-41330 | Debtor Name American Century Mineral LLC | Petition Date March 10, 2020 |
Case Number 20-41333 | Debtor Name Foresight Energy Finance Corporation | Petition Date March 10, 2020 |
Case Number 20-41337 | Debtor Name Foresight Energy Labor LLC | Petition Date March 10, 2020 |
Case Number 20-41325 | Debtor Name Viking Mining LLC | Petition Date March 10, 2020 |
Case Number 20-41320 | Debtor Name MaRyan Mining LLC | Petition Date March 10, 2020 |
Case Number 20-41338 | Debtor Name Mach Mining, LLC | Petition Date March 10, 2020 |
Case Number 20-41315 | Debtor Name Logan Mining LLC | Petition Date March 10, 2020 |
Case Number 20-41324 | Debtor Name LD Labor Company LLC | Petition Date March 10, 2020 |
Case Number 20-41329 | Debtor Name Coal Field Repair Services LLC | Petition Date March 10, 2020 |
Case Number 20-41334 | Debtor Name Coal Field Construction Company LLC | Petition Date March 10, 2020 |
Case Number 20-41328 | Debtor Name Hillsboro Energy LLC | Petition Date March 10, 2020 |
Case Number 20-41326 | Debtor Name Akin Energy LLC | Petition Date March 10, 2020 |
Case Number 20-41335 | Debtor Name M-Class Mining, LLC | Petition Date March 10, 2020 |
Case Number 20-41332 | Debtor Name Patton Mining LLC | Petition Date March 10, 2020 |
Disclaimer
Prime Clerk LLC (“Prime Clerk”), is serving as custodian pro tempore of the proofs of claim filed in the chapter 11 cases of Foresight Energy LP and its affiliated debtors (collectively, the “Debtors”) and of the Court’s official proofs of claim register. In this capacity, Prime Clerk will maintain the duplicate proofs of claims registers on behalf of the Court. Prime Clerk’s website will display the claims registers as maintained by Prime Clerk.
This website is created and maintained by Prime Clerk. The information contained on this website is provided for informational purposes only and should not be construed as legal, financial or other professional advice or, unless expressly stated, as the Debtors’ or Prime Clerk’s official position on any subject matter. Users of this website should not take or should refrain from taking any action based upon content included in the website without seeking legal counsel on the particular facts and circumstances at issue from a licensed attorney.
The Debtors and Prime Clerk do not guarantee or warrant the accuracy, completeness or currency of the information that is provided herein, and shall not be liable to you for any loss or injury arising out of, or caused in whole or in part by, the acts, errors or omissions of the Debtors or Prime Clerk, whether negligent or otherwise, in procuring, compiling, collecting, interpreting, reporting, communicating or delivering the information contained on this website. The Debtors and Prime Clerk expressly do not undertake any obligation to update, modify, revise or re-categorize the information provided herein, or to notify you or any third party, should the information be updated, modified, revised or recategorized. In no event shall the Debtors or Prime Clerk be liable to you or any third party for any direct, indirect, incidental, consequential or special damages (including, but not limited to, damages arising from the disallowance of a potential claim against the Debtors, or damages to business reputation, lost business or lost profits), whether foreseeable or not and however caused, even if the Debtors or Prime Clerk are advised of the possibility of such damages. This website should not be relied on as a substitute for financial, legal or other professional advice.
It is your sole obligation to maintain accurate records of the documents filed in the chapter 11 cases, based on the Court’s dockets relating to the chapter 11 cases, which can be accessed through the Court’s website at www.moeb.uscourts.gov (a PACER login and password are needed to view these documents and can be obtained at http://pacer.psc.uscourts.gov). The Debtors’ website is being made available merely as a convenience to interested parties and the public.
Electronic mail or other communications through this website, or otherwise, to the Debtors, their counsel, or Prime Clerk in connection with these, or other, matters will not be treated as privileged or confidential. Transmission and receipt of the information in this website and/or communication with the Debtors or Debtors’ counsel via e-mail is not intended to solicit or create, and does not create, an attorney-client relationship between Debtors’ counsel and any person or entity. The Debtors and Prime Clerk do not endorse or warrant, and are not responsible for, any third-party content that may be accessed from this website.
The Debtors and Prime Clerk make no claim to original U.S. Government works. None of the Debtors, or any of their respective directors, officers, employees, members, attorneys, consultants, advisors or agents (acting in such capacity), including Prime Clerk (collectively, the “Exculpated Parties”), shall have or incur any liability to any entity, (all references to “entity” herein shall be as defined in section 101(15) of the Bankruptcy Code, “Entity”), for any act taken or omitted to be taken in connection with the preparation, dissemination or implementation of this website; provided however, that the foregoing shall not affect the liability of any Exculpated Party protected pursuant to this paragraph that otherwise would result from any such act or omission to the extent that such act or omission is determined in a final, non-appealable order to have constituted a breach of fiduciary duty, gross negligence or willful misconduct, including, without limitation, fraud and criminal misconduct, or the breach of any confidential agreement or order. Without limiting the foregoing, the exculpation provided in this paragraph shall be coextensive with any Exculpated Party’s qualified immunity under applicable law.