9748 Certification of Counsel Regarding Revised Findings of Fact, Conclusions of Law, and Order Confirming the Seventh Amended Joint Plan of Affiliated Debtors Pursuant to Chapter 11 of the United States Bankruptcy Code
www.kccllc.net/documents/0812229/0812229120223000000000009.pdf
9749 Notice of Amended Agenda of Matters Scheduled for Hearing on February 24, 2012 at 9:30 a.m. (EST) (Hearing Cancelled)
www.kccllc.net/documents/0812229/0812229120223000000000007.pdf
9750 Order Granting Motion for Admission Pro Hac Vice of Jerome F. Birn, Jr. to Represent Kerry K. Killinger
www.kccllc.net/documents/0812229/0812229120223000000000010.pdf
9751 Objection to Remand re: Szanto, JP Morgan Chase Against Washington Mutual, et al.
www.kccllc.net/documents/0812229/0812229120223000000000003.pdf
9752 Certification of No Objection Regarding Fifth Monthly Application of Ernst & Young LLP for Allowance of Compensation for Services Rendered and for Reimbursement of Expenses as Accounting, Tax and Reporting Service Provider of the Debtors and Debtors in Possession for the Period from October 1, 2011 Through November 30, 2011 (No Order Required)
www.kccllc.net/documents/0812229/0812229120223000000000004.pdf
9753 Declaration of Peter Szanto Supporting Opposition to Remand
www.kccllc.net/documents/0812229/0812229120223000000000005.pdf
9754 Certificate of No Objection Regarding Twenty-Second Monthly Application of Ashby & Geddes, P.A., as Delaware Counsel to the Official Committee of Equity Security Holders of Washington Mutual, Inc, et al., for Allowance of Compensation for Services Rendered and Reimbursement of Expenses Incurred for the Period of December 1, 2011 Through December 31, 2011
www.kccllc.net/documents/0812229/0812229120223000000000006.pdf
9755 Affidavit of Service of Tiffany Matthews re: Limited Joinder of Deanna Oppenheimer in (I) Opposition of Director and Officer Claimants to Debtors' Supplemental Response to Motion to Estimate Maximum Amount of Certain Claims for Purposes of Establishing Reserves Under the Debtors' Confirmed Chapter 11 Plan with Respect to the Indemnification Claims Filed by Certain Directors and Officers (II) Reply of Stephen J. Rotella in Opposition to Debtors' Motion to Estimate Maximum Amount of Certain Claims for Purposes of Establishing Reserves Under the Debtors' Confirmed Chapter 11 Plan and (III) Reply of Thomas W. Casey, David Schneider, Albert Brooks, Todd H. Baker, Debora Horvath, and John McMurray in Opposition to Debtors' Motion to Estimate Maximum Amount of Certain Claims for Purposes of Establishing Reserves Under the Debtors' Confirmed Chapter 11 Plan
www.kccllc.net/documents/0812229/0812229120223000000000008.pdf
9756 Certificate of No Objection Regarding Thirty-Ninth Monthly Application of Pepper Hamilton LLP, Co-Counsel for the Official Committee of Unsecured Creditors, for Compensation and Reimbursement of Expenses Incurred for the Period December 1, 2011 Through December 31, 2011
www.kccllc.net/documents/0812229/0812229120223000000000011.pdf