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UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF MICHIGAN SOUTHERN DIVISION

In re: COLLINS & AIKMAN CORPORATION, et al.,1 Debtors. ) ) ) ) ) ) ) ) ) Chapter 11 Case No. 05-55927-(SWR) (Jointly Administered) (Tax Identification No. #13-3489233) Honorable Steven W. Rhodes

STIPULATION AMENDING CLAIM NUMBERS 6797, 8560, 8745, and 8755 This Stipulation, by and between the Collins & Aikman Litigation Trust (the Trust), as successors to the above-captioned Debtors (collectively, the Debtors) under the Plan (as hereinafter defined), and Becker Properties, LLC (the Claimant) (the Trusts and Claimant shall be collectively referred to as the Parties), amends Claim Numbers 6797, 8560, 8755 and 8745 (the Claims). WHEREAS, on May 17, 2005 (the Petition Date), the Debtors filed petitions for relief under chapter 11 of title 11 of the United States Code in the United States Bankruptcy Court for the Eastern District of Michigan (the Bankruptcy Court);

1 The Debtors in the jointly administered cases include: Collins & Aikman Corporation; Amco Convertible Fabrics, Inc., Case No. 05-55949;
Becker Group, LLC (d/b/a/ Collins & Aikman Premier Mold), Case No. 05-55977; Brut Plastics, Inc., Case No. 05-55957; Collins & Aikman (Gibraltar) Limited, Case No. 05-55989; Collins & Aikman Accessory Mats, Inc. (f/Ida the Akro Corporation), Case No. 05-55952; Collins & Aikman Asset Services, Inc., Case No. 05-55959; Collins & Aikman Automotive (Argentina), Inc. (f/k/a Textron Automotive (Argentina), Inc.), Case No. 05-55965; Collins & Aikman Automotive (Asia), Inc. (f/k/a Textron Automotive (Asia), Inc.), Case No. 0555991; Collins & Aikman Automotive Exteriors, Inc. (f/k/a Textron Automotive Exteriors, Inc.), Case No. 05-55958; Collins & Aikman Automotive Interiors, Inc. (f/k/a Textron Automotive Interiors, Inc.), Case No. 05-55956; Collins & Aikman Automotive International, Inc., Case No. 05-55980; Collins & Aikman Automotive International Services, Inc. (f/k/a Textron Automotive International Services, Inc.), Case No. 05-55985; Collins & Aikman Automotive Mats, LLC, Case No. 05-55969; Collins & Aikman Automotive Overseas Investment, Inc. (f/k/a Textron Automotive Overseas Investment, Inc.), Case No. 05-55978; Collins & Aikman Automotive Services, LLC, Case No. 05-55981; Collins & Aikman Canada Domestic Holding Company, Case No. 05-55930; Collins & Aikman Carpet & Acoustics (MI), Inc., Case No. 05-55982; Collins & Aikman Carpet & Acoustics (TN), Inc., Case No. 05-55984; Collins & Aikman Development Company, Case No. 05-55943; Collins & Aikman Europe, Inc., Case No. 05-55971; Collins & Aikman Fabrics, Inc. (d/b/a Joan Automotive Industries, Inc.), Case No. 05-55963; Collins & Aikman Intellimold, Inc. (d/b/a M&C Advanced Processes, Inc.), Case No. 05-55976; Collins & Aikman Interiors, Inc., Case No. 05-55970; Collins & Aikman International Corporation, Case No. 05-5595 1; Collins & Aikman Plastics, Inc., Case No. 05-55960; Collins & Aikman Products Co., Case No. 05-55932; Collins & Aikman Properties, Inc., Case No. 0555964; Comet Acoustics, Inc., Case No. 05-55972; CW Management Corporation, Case No. 05-55979; Dura Convertible Systems, Inc., Case No. 05-55942; Gamble Development Company, Case No. 05-55974; JPS Automotive, Inc. (d/b/a PACJ, Inc.), Case No. 05-55935; New Baltimore Holdings, LLC, Case No. 05-55992; Owosso Thermal Forming, LLC, Case No. 05-55946; Southwest Laminates, Inc. (d/b/a Southwest Fabric Laminators Inc.), Case No. 05-55948; Wickes Asset Management, Inc., Case No. 05-55962; and Wickes Manufacturing

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WHEREAS, on January 11, 2006, October 30, 2006, October 1, 2007 and October 30, 2007, Claimant filed the Claims 6797, 8560, 8745, and 8755 in the amounts of $1,976,957, $2,770,520, $6,355,476 and $3,097,249, respectively. WHEREAS, on July 30, 2008, the Trust filed its Seventy-fifth Omnibus Objection to Claims (insufficient Books and Records) (Objection). WHEREAS, in an effort to avoid the risks and expenses of litigation, the Parties have entered into negotiations to resolve the Claims. In connection with such negotiations, the Parties have reviewed documentation and other materials relevant to the Claims, including any support filed with or related to the Claims and the Debtors books and records as they relate to such claim. NOW, THEREFORE, in consideration of the mutual promises contained herein, and for other good and valuable consideration, the receipt and sufficiency of which is hereby acknowledged, IT IS STIPULATED AND AGREED THAT: 1. Claims 6797, 8560, 8745, and 8755 are hereby allowed as general unsecured

claims in the amounts of $1,185,007, $2,594,437, $3,876,918 and $3,097,249, respectively. 2. 3. The Objection is resolved with respect to the Claims. To the extent any distributions are made on the Claims as amended by this

Stipulation, such distributions will be made pursuant to the terms of the First Amended Joint Plan of Collins & Aikman Corporation and Its Debtor Subsidiaries, dated July 9, 2007 (the Plan), as confirmed by the Order Confirming the First Amended Joint Plan of Collins & Aikman Corporation and Its Debtor Subsidiaries, entered on July 18, 2007.

Company, Case No. 05-55968.

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4.

The Debtors notice and claims agent, Kurtzman Carson Consultants, LLC, is

authorized to take all actions necessary to reflect the amended Claim in amount set forth in paragraph 1, above. 5. By agreeing to enter into this Stipulation, the Parties shall not be deemed to have

waived any right or remedy afforded to them under the Bankruptcy Code or otherwise, except as provided in this Stipulation. 6. This Stipulation may not be modified, altered or amended or vacated without the

written consent of all parties hereto. Any such modification, alteration, amendment or vacation, in whole or in part, shall be subject to the approval of the Bankruptcy Court. The Bankruptcy Court shall retain jurisdiction to resolve any disputes or controversies arising from or related to this Stipulation. 7. A proposed order, attached as Exhibit A, shall be submitted to the Bankruptcy

Court immediately following the filing of this Stipulation. SO STIPULATED, APPROVED AS TO FORM AND CONTENT: BOYLE BURDETT By: with cons. /s/ H. William Burdett, Jr. Eugene H. Boyle, Jr. H. William Burdett, Jr. 14950 East Jefferson, Suite 200 Grosse Pointe Park, Michigan 48230 (313) 344-4000 (313) 344-4001 (facsimile) burdett@boyleburdett.com Attorneys for the Collins & Aikman Post-Consummation Trust and the Collins & Aikman Litigation Trust Date: October 6, 2008 BODMAN LLP /s/ David J. Nowaczewski David J. Nowaczewski (P68950) 6th Floor at Ford Field 1901 St. Antoine St. Detroit, Michigan 48226 (313) 259-7777 (313) 393-7579 (facsimile) dnowaczewski@bodmanllp.com Attorneys for Becker Properties, LLC By:

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IN THE UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF MICHIGAN SOUTHERN DIVISION In re: COLLINS & AIKMAN CORPORATION, et al, Debtors.
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) ) ) ) ) ) ) )

Chapter 11 Case No. 05-55927 (SWR) (Jointly Administered) (Tax Identification #13-3489233) Honorable Steven W. Rhodes

ORDER APPROVING THE STIPULATION BY AND AMONG THE COLLINS & AIKMAN POST-CONSUMMATION TRUST AND BECKER PROPERTIES LLC AMENDING CLAIM NUMBERS 6797, 8560, 8745 AND 8755 Upon the stipulation [Docket No. _______] (the Stipulation)2 by and among the Collins & Aikman Post-Consummation Trust, as successor to the above-captioned debtors

1 The Debtors in the jointly administered cases include: Collins & Aikman Corporation; Amco Convertible Fabrics, Inc., Case No. 05-55949; Becker Group, LLC (d/b/a Collins & Aikman Premier Mold), Case No. 05-55977; Brut Plastics, Inc., Case No. 05-55957; Collins & Aikman (Gibraltar) Limited, Case No. 05-55989; Collins & Aikman Accessory Mats, Inc. (f/k/a the Akro Corporation), Case No. 05-55952; Collins & Aikman Asset Services, Inc., Case No. 05-55959; Collins & Aikman Automotive (Argentina), Inc. (f/k/a Textron Automotive (Argentina), Inc.), Case No. 05-55965; Collins & Aikman Automotive (Asia), Inc. (f/k/a Textron Automotive (Asia), Inc.), Case No. 05- 55991; Collins & Aikman Automotive Exteriors, Inc. (f/k/a Textron Automotive Exteriors, Inc.), Case No. 05-55958; Collins & Aikman Automotive Interiors, Inc. (f/k/a Textron Automotive Interiors, Inc.), Case No. 05-55956; Collins & Aikman Automotive International, Inc., Case No. 05-55980; Collins & Aikman Automotive International Services, Inc. (f/k/a Textron Automotive International Services, Inc.), Case No. 05-55985; Collins & Aikman Automotive Mats, LLC, Case No. 05-55969; Collins & Aikman Automotive Overseas Investment, Inc. (f/k/a Textron Automotive Overseas Investment, Inc.), Case No. 05-55978; Collins & Aikman Automotive Services, LLC, Case No. 05-55981; Collins & Aikman Canada Domestic Holding Company, Case No, 05-55930; Collins & Aikman Carpet & Acoustics (MI), Inc., Case No. 05-55982; Collins & Aikman Carpet & Acoustics (TN), Inc., Case No, 05-55984; Collins & Aikman Development Company, Case No. 05-55943; Collins & Aikman Europe, Inc., Case No. 05-55971; Collins & Aikman Fabrics, Inc. (d/b/a Joan Automotive Industries, Inc.), Case No. 05-55963; Collins & Aikman Intellimold, Inc. (d/b/a M&C Advanced Processes, Inc.), Case No. 05-55976; Collins & Aikman Interiors, Inc., Case No.05-55970; Collins & Aikman International Corporation, Case No, 05-55951; Collins & Aikman Plastics, Inc., Case No. 05-55960; Collins & Aikman Products Co., Case No. 05-55932; Collins & Aikman Properties, Inc., Case No. 05-55964; Comet Acoustics, Inc., Case No. 05-55972; CW Management Corporation, Case No. 05-55979; Dura Convertible Systems, Inc., Case No. 05-55942; Gamble Development Company, Case No. 05-55974; JPS Automotive, Inc. (d/b/a PACJ, Inc.), Case No. 05-55935; New Baltimore Holdings, LLC, Case No, 05-55992; Owosso Thermal Forming, LLC, Case No. 05-55946; Southwest Laminates, Inc. (d/b/a Southwest Fabric Laminators Inc.), Case No. 05-55948; Wickes Asset Management, Inc., Case No. 05-55962; and Wickes Manufacturing Company, Case No. 05-55968. 2 Capitalized terms used but not defined herein shall have the meanings ascribed to them in the Stipulation.

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(collectively, the Debtors) and Becker Properties LLC amending claims 6796, 8560, 8745 and 8755; it is hereby ORDERED: 1. 2. The Stipulation is approved. Claim 6797 is amended to and allowed as a general unsecured claim in the

amount of $1,185,007. 3. Claim 8560 is amended to and allowed as a general unsecured claim in the

amount of $2,594,437. 4. Claim 8745 is amended to and allowed as a general unsecured claim in the

amount of $3,876,918. 5. 6. Claim 8755 is allowed as a general unsecured claim in the amount of $3,097.249. To the extent any distributions are made on Claims 6792, 8560, 8745, and 8755,

as amended by this Order, such distributions will be made pursuant to the terms of the First Amended Joint Plan of Collins & Aikman Corporation and Its Debtor Subsidiaries, dated July 9, 2007 (the Plan), as confirmed by the Order Confirming the First Amended Joint Plan of Collins and Aikman Corporation and Its Debtor Subsidiaries, entered on July 18, 2007. 7. The Debtors are authorized to take all actions necessary to effectuate the relief

granted pursuant to this Order. 8. The terms and conditions of this Order shall be immediately effective and

enforceable upon its entry.

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9.

The Court retains jurisdiction with respect to all matters arising from or related to

the implementation of this Order.

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