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IN THE UNITED STATES BANKRUPTCY COURT DISTRICT OF DELAWARE : : : : : : : : : :

In re: ALLIED SYSTEMS HOLDINGS, INC., et al.,1 Debtors.

Chapter 11 Case No. 12-11564 (CSS) (Jointly Administered)

NOTICE OF APPEARANCE AND REQUEST FOR SERVICE PLEASE TAKE NOTICE that the Official Committee of Unsecured Creditors of the above-captioned cases (the Committee), by and through its proposed counsel, Sidley Austin LLP, hereby appears in the above-captioned cases pursuant to 11 U.S.C. 1109(b) and requests, pursuant to Rules 2002, 9007 and 9010(b) of the Federal Rules of Bankruptcy Procedure, that all notices given or required to be given in these jointly administered cases or in any proceeding herein and all papers served or required to be served in this case or in any proceeding herein be given to and served upon the following addresses:

The debtors in the above-captioned cases (collectively, the Debtors), 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 (592876864); Allied Systems (Canada) Company (90-0169283); Allied Systems, Ltd. (L.P.) (58-1710028); Axis Areta, LLC (45-5215545); Axis Canada Company 87568828); Axis Group, Inc. (58-2204628); Commercial Carriers, Inc. (38-0436930); CT Services, Inc. (38-2918187); Cordin Transport LLC (38-1985795); F.J. Boutell Driveaway LLC (38-0365100); GACS Incorporated (58-1944786); Logistic Systems, LLC (45-4241751); Logistic Technology, LLC (45-4242057); QAT, Inc. (59-2876863); RMX LLC (31-0961359); 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.

Michael G. Burke, Esq. Brian J. Lohan, Esq. Dennis Kao, Esq. Sidley Austin LLP 787 Seventh Avenue New York, New York 10019 Telephone: (212) 839-5300 Facsimile: (212) 839-5599 Email: mgburke@sidley.com blohan@sidley.com dkao@sidley.com

Matthew A. Clemente, Esq. Sidley Austin LLP One South Dearborn Street Chicago, Illinois 60603 Telephone: (312) 853-7000 Facsimile: (312) 853-7036 Email: mclemente@sidley.com

PLEASE TAKE FURTHER NOTICE that pursuant to 11 U.S.C. 1109(b), the foregoing request includes not only the notices and papers referred to in the rules specified above but also includes, without limitation, copies of any proposed disclosure statement or plan of reorganization, as required by Rule 3017(a) of the Federal Rules of Bankruptcy Procedure, as well as orders (including orders to show cause) and notices of any application, motion, petition, pleading, request, complaint, or demand, whether formal or informal, whether written or oral, and whether transmitted or conveyed by mail, overnight mail or courier, hand delivery, electronic mail, telephone, telecopies, telegraph, telex, or otherwise, which (1) affects or seeks to affect in any way any rights or interests of any creditor or party in interest in these cases, with respect to the Debtors; property of the Debtors estate, or proceeds thereof, in which the Debtors may claim an interest, or Committee; or property or proceeds thereof in the possession, custody, or control of others that the Debtors may seek to use; or (2) requires or seeks to require any act or other conduct by a party in interest. PLEASE TAKE FURTHER NOTICE that neither this Notice of Appearance and Request for Service nor any subsequent appearance, pleading, claim, or suit is intended to waive (i) the Committees right to have final orders in non-core matters entered only after de novo

review by the District Court, (ii) the Committees right to trial by jury in any proceeding so triable herein or in any case, controversy or proceeding related hereto, (iii) the Committees right to have the reference withdrawn by the District Court in any matter subject to mandatory or discretionary withdrawal, or (iv) any other rights, claims, actions, defenses, setoffs, or recoupments to which the Committee is or may be entitled under agreements, in law, or in equity, all of which rights, claims, actions, defenses, setoffs, and recoupments the Committee expressly reserves. Dated: New York, New York June 22, 2012 By: SIDLEY AUSTIN LLP /s/ Michael G. Burke_________________ Michael G. Burke, Esq Brian J. Lohan, Esq. Dennis Kao, Esq.. 787 Seventh Avenue New York, NY 10019 (212) 839-5300 (tel) (212) 839-5599 (fax) Matthew A. Clemente, Esq. One South Dearborn Street Chicago, Illinois 60603 Proposed Counsel for the Official Committee of Unsecured Creditors

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