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American petitions to terminate leases in Kansas City, Chicago

American petitions to terminate leases in Kansas City, Chicago

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Published by vetter9922
American asks the court to terminate its leases at the Kansas City maintenance base and Chicago Midway Airport.
American asks the court to terminate its leases at the Kansas City maintenance base and Chicago Midway Airport.

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Published by: vetter9922 on Dec 22, 2011
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12/22/2011

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HEARING DATE AND TIME: December 22, 2011 at 10:00 a.m. (Eastern Time)OBJECTION DEADLINE: December 15, 2011 at 4:00 p.m. (Eastern Time)
US_ACTIVE:\43870818\03\14013.0138
Harvey R. MillerStephen KarotkinAlfredo R. PérezStephen A. YoungmanWEIL, GOTSHAL & MANGES LLP767 Fifth AvenueNew York, New York 10153Telephone: (212) 310-8000Facsimile: (212) 310-8007Attorneys for Debtorsand Debtors in Possession
UNITED STATES BANKRUPTCY COURTSOUTHERN DISTRICT OF NEW YORK---------------------------------------------------------------x:In re : Chapter 11 Case No.:AMR CORPORATION,
et al.
, : 11-15463 (SHL):Debtors. : (Jointly Administered):---------------------------------------------------------------xNOTICE OF HEARING ON SECOND OMNIBUS MOTION OF DEBTORS FORENTRY OF ORDER PURSUANT TO 11 U.S.C. §§ 365(a) AND 554(a) AUTHORIZING(i) REJECTION OF CERTAIN UNEXPIRED LEASES OF NONRESIDENTIAL REALPROPERTY AND (ii) ABANDONMENT OF CERTAIN PROPERTY OF THE ESTATE
 
PLEASE TAKE NOTICE
that a hearing on the annexed motion, datedNovember 30, 2011 (the “
Motion
”),
 
of AMR Corporation and certain of its subsidiaries, asdebtors and debtors in possession (collectively, the “
Debtors
”) for entry of an order, pursuant tosections 365(a) and 554(a) of title 11, United States Code (the “
Bankruptcy Code
”), authorizing(i) the rejection of certain unexpired leases of nonresidential real property identified on
Exhibit“A”
annexed to the Motion (the “
Leases
”), and (ii) the abandonment of certain personal propertylocated in the properties associated with the Leases, all as more fully set forth in the Motion, willbe held before the Honorable Sean H. Lane, United States Bankruptcy Judge, in Room 701 of theUnited States Bankruptcy Court for the Southern District of New York (the “
Bankruptcy
11-15463-shl Doc 83 Filed 11/30/11 Entered 11/30/11 19:14:56 Main DocumentPg 1 of 16
 
US_ACTIVE:\43870818\03\14013.0138
2
Court
”), One Bowling Green, New York, New York 10004, on
December 22, 2011 at 10:00a.m. (Eastern Time)
.
PLEASE TAKE FURTHER NOTICE
that any responses or objections to theMotion (the “
Objections
”) must be in writing, shall conform to the Federal Rules of BankruptcyProcedure and the Local Bankruptcy Rules for the Southern District of New York, and shall befiled with the Bankruptcy Court (a) by registered users of the Bankruptcy Court’s case filingsystem, electronically in accordance with General Order M-399 (which can be found atwww.nysb.uscourts.gov), and (b) by all other parties in interest, on a 3.5 inch disk, in text-searchable portable document format (PDF) (with a hard copy delivered directly to Chambers),in accordance with the customary practices of the Bankruptcy Court and General Order M-399,to the extent applicable, and served in accordance with General Order M-399 and on (i) theattorneys for the Debtors, Weil, Gotshal & Manges LLP, 767 Fifth Avenue, New York, NewYork 10153 (Attn: Stephen Karotkin, Esq.), (ii) the Office of the United States Trustee for theSouthern District of New York, (iii) the holders of the five largest secured claims against theDebtors (on a consolidated basis), (iv) the holders of the fifty largest unsecured claims againstthe Debtors (on a consolidated basis), unless the statutory committee of unsecured creditors hasbeen appointed in these chapter 11 cases, in which case on the attorneys for such committee,(v) the attorneys for the Allied Pilots Association, (vi) the attorneys for the Air Line PilotsAssociation, International, (vii) the attorneys for the Association of Professional FlightAttendants, (viii) the attorneys for the Association of Flight Attendants – CWA, AFL-CIO, (ix)the attorneys for the Transport Workers Union of America, AFL-CIO, (x) the Lessors, and (xi)all entities that requested notice in these chapter 11 cases under Fed. R. Bankr. P. 2002 so as tobe received no later than
December 15, 2011 at 4:00 p.m. (Eastern Time)
(the “
ObjectionDeadline
”).
11-15463-shl Doc 83 Filed 11/30/11 Entered 11/30/11 19:14:56 Main DocumentPg 2 of 16
 
US_ACTIVE:\43870818\03\14013.0138
3
PLEASE TAKE FURTHER NOTICE
that if no Objections are timely filed andserved with respect to the Motion, the Debtors may, on or after the Objection Deadline, submit tothe Bankruptcy Court an order substantially in the form of the proposed order annexed to theMotion, which order may be entered with no further notice or opportunity to be heard.Dated: New York, New York November 30, 2011 /s/ Alfredo R. PérezHarvey R. MillerStephen KarotkinAlfredo R. PérezStephen A. YoungmanWEIL, GOTSHAL & MANGES LLP767 Fifth AvenueNew York, New York 10153Telephone: (212) 310-8000Facsimile: (212) 310-8007Attorneys for Debtorsand Debtors in Possession
11-15463-shl Doc 83 Filed 11/30/11 Entered 11/30/11 19:14:56 Main DocumentPg 3 of 16

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