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JASON SAMUELS, P.C. Jason S. Samuels, Esq.

100 Jericho Quadrangle, Suite 309 Jericho, New York 11753-2702 Tel: (516) 240-8900 Fax: (516) 240-8950 UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK

---------------------------------------------------------x In re
LEHR CONSTRUCTION CORP.

Chapter 11 Case No. 11-10723 (SHL) (Jointly Administered)

Debtor.

---------------------------------------------------------x
STATEMENT PURSUANT TO FEDERAL RULE OF BANKRUPTCY PROCEDURE 2019 OF JASON SAMUELS, P.C. Jason Samuels, P.C. a New York Professional Corporation hereby submits this statement in accordance with Rule 2019 of the Federal Rules of Bankruptcy Procedure and respectfully represents: 1. Jason Samuels, P.C. ("JSPC") represents both (a) Mac Felder Inc. and (b)

George Breslaw Plumbing LLC (collectively, "the Clients") both creditors and parties in interest in the Chapter 11 proceeding ofLehr Construction Corp. (the "Debtor"). 2. In accordance with Federal Rule of Bankruptcy Procedure 2019(a), JSPC

submits this Statement regarding the Clients: 3. follows: (a) Client: Mac Felder Inc. ("Mac Felder") The Clients' names and addresses, and the nature of their claims, are as

Address:

610 11th Avenue New York, New York 10036 Mac Felder is a subcontractor of the Debtor that entered into various subcontracts, purchase orders and other agreements with the Debtor to provide construction related labor and material to the Debtor's various construction projects in the State of New York. Mac Felder holds pre-petition and post-petition claims against Debtor and is a beneficiary of trust funds to which Debtor is a trustee under Article 3-A of the Lien Law of the State of New York. The approximate total value of Mac Felder's total claims is an amount not less than $345,138.00. George Breslaw Plumbing LLC ("GBP") 559 W. 45th Street New York, New York 10036 GBP is a subcontractor of the Debtor that entered into various subcontracts, purchase orders and other agreements with the Debtor to provide construction related labor and material to the Debtor's various construction projects in the State of New York. GBP holds pre-petition and post-petition claims against Debtor and is a beneficiary of trust funds to which Debtor is a trustee under Article 3-A of the Lien Law ofthe State ofNew York. The approximate total value of GBP's total claims is an amount not less than $115,487.46.

Nature of Claim:

(b)

Client: Address:

Nature of Claim:

3.

Any statement of the nature or amount of the Clients' claims is provided

only for the purposes of this Statement. 4. JSPC has been asked by Clients to provide legal representation in the above

captioned Chapter 11 proceeding.

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5. proceeding. 6. in the future.

JSPC does not have any claim or interest in its individual capacity in this

JSPC reserves the right to supplement or amend this Statement at any time

Dated: Jericho, New York April 4, 2011


JASON SAMUELS, P.C.

100 Jericho uadrangle, Suite 309 Jericho NY 11753-2702 (516) 470-0782 Attorneys for Mac Felder Inc. and George Breslaw Plumbing LLC

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