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KLEE, TUCHIN, BOGDANOFF & STERN LLP 1999 AVENUE OF THE STARS, 39TH FLOOR LOS ANGELES, CALIFORNIA 90067-6049 TELEPHONE: (310) 407-4000

LEE R. BOGDANOFF (State Bar No. 119542) JONATHAN S. SHENSON (State Bar No. 184250) DAVID M. GUESS (State Bar No. 238241) KLEE, TUCHIN, BOGDANOFF & STERN LLP 1999 Avenue of the Stars, 39th Floor Los Angeles, CA 90067 Telephone: (310) 407-4000 Facsimile: (310) 407-9090 Bankruptcy Counsel for Debtors and Debtors In Possession Debtors' Mailing Address 425 West Rider Street, Unit B4 Perris, CA 92571 National R.V. Holdings, Inc.'s Tax I.D. #XX-XXX-1079 National R.V., Inc.'s Tax I.D. #XX-XXX-5022

UNITED STATES BANKRUPTCY COURT CENTRAL DISTRICT OF CALIFORNIA RIVERSIDE DIVISION In re NATIONAL R.V. HOLDINGS, INC., a Delaware corporation; NATIONAL R.V., INC., a California corporation, Debtors. Case No.: 6:07-17941-PC Chapter 11 Jointly Administered with Case No.: 6:07-17937-PC NOTICE OF PROPOSED SALE OF FOUR PARTIALLY BUILT-UPON CHASSIS TO BILL REX No Hearing Required

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KLEE, TUCHIN, BOGDANOFF & STERN LLP 1999 AVENUE OF THE STARS, 39TH FLOOR LOS ANGELES, CALIFORNIA 90067-6049 TELEPHONE: (310) 407-4000

TO THE HONORABLE PETER H. CARROLL, UNITED STATES BANKRUPTCY JUDGE; THE OFFICE OF THE UNITED STATES TRUSTEE; COUNSEL FOR WELLS FARGO BANK, N.A., COUNSEL FOR THE OFFICIAL COMMITTEE OF

UNSECURED CREDITORS; AND ALL OTHER PARTIES ENTITLED TO NOTICE: PLEASE TAKE NOTICE that, on December 28, 2007, the bankruptcy court (the "Court"), presiding over the chapter 11 cases of the of the above-captioned debtors and debtors in possession (the "Debtors"), entered that certain "Further Order Granting In Part Emergency Motion of Debtors and Debtors in Possession for Authority to (1) Reconcile, Adjust, and Collect Accounts Receivable, (2) Sell Emission Reduction Credits Free and Clear of Liens, Claims, and Interests, and (3) Sell Inventory Free and Clear of Liens, Claims, and Interests (Including a Request for Specific Authority to Sell Eleven RVs Located in Kentucky)" [Docket #122] (the "Sale Order").1 PLEASE TAKE FURTHER NOTICE that, pursuant to the procedures set forth in Paragraph 7 of the Sale Order, the Debtors shall, and do hereby, give notice of their intention to proceed with the sale (the "Sale") of four (4) partially built-upon chassis (the "Chassis") to Bill Rex for $27,500 (the "Purchase Price"), "as is, where is". PLEASE TAKE FURTHER NOTICE that the Chassis are not subject to any liens, claims or interests other than a lien in favor of Wells Fargo Bank, N.A. ("Wells Fargo"). PLEASE TAKE FURTHER NOTICE that, pursuant to the terms of the Sale Order, the Chassis that are the subject of the proposed Sale shall be sold, free and clear of any and all liens, claims and interests of Wells Fargo; with any and all such liens, claims and interests of Wells Fargo and any and all other entities, if any, to attach to the proceeds thereof with the same priority existing as of the petition date. PLEASE TAKE FURTHER NOTICE that, as set forth in the Sale Order, the Official Committee of Unsecured Creditors appointed in the case of NRV (the "Committee"), Wells Fargo shall have only three (3) business days from the date this Notice is served (i.e., until May

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1

Capitalized terms not otherwise defined herein shall have the meaning ascribed to them in the Sale Order.

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KLEE, TUCHIN, BOGDANOFF & STERN LLP 1999 AVENUE OF THE STARS, 39TH FLOOR LOS ANGELES, CALIFORNIA 90067-6049 TELEPHONE: (310) 407-4000

21, 2008) to object to the proposed Sale (the "Objection Period"), and the failure by any such party to object within the Objection Period shall be deemed a consent by such party to the Sale. PLEASE TAKE FURTHER NOTICE that any objection to the proposed Sale must be filed and served on the Debtors, counsel for the Committee, and counsel for Wells Fargo. All objections must be (i) made within the Objection Period, (ii) be in writing, and (iii) must briefly state the basis for the objection. The Debtors will endeavor to resolve any objection informally; however, if they are unable to do so promptly, the Debtors are authorized to seek relief from the Court to resolve any objection on a shortened-time basis.

DATED: May 16, 2008

/s/ Jonathan S. Shenson Jonathan S. Shenson, an Attorney with KLEE, TUCHIN, BOGDANOFF & STERN LLP Bankruptcy Counsel for Debtors and Debtors in Possession

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