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Formed under confirmed Plan in In re CDC Corporation, Case No. 11-79079, United States Bankruptcy Court for the Northern District of Georgia
General Information:

On October 4, 2011, CDC Corporation (the “Debtor”) filed a voluntary petition for relief under chapter 11 of Title 11 of the United States Code in the United States Bankruptcy Court for the Northern District of Georgia (the “Bankruptcy Court”), Case No. 11-79079 (the “Bankruptcy Case”).

On September 6, 2012, the Bankruptcy Court entered an Order (the “Confirmation Order”; Docket No. 551) confirming the “Second Amended Joint Plan of Reorganization for CDC Corporation” dated August 29, 2012 (the “Plan”; Docket No. 542) which had been jointly proposed by the Debtor and the Official Committee for Equity Security Holders in the Bankruptcy Case.

The Plan became effective on December 19, 2012 (the “Effective Date”).

Under the Plan, the CDC Liquidation Trust was created on the Effective Date. The Liquidation Trustee of the CDC Liquidation Trust is Marcus A. Watson.

The CDC Liquidation Trust was created for the primary purpose of liquidating and distributing the Trust Assets to the Beneficiaries (former shareholders of the Debtor) of the CDC Liquidation Trust and for payment of Liquidation Trust Expenses in accordance with the Plan and the Confirmation Order, in an expeditious but orderly manner. The CDC Liquidation Trust has no objective to continue or engage in the conduct of a trade or business, except to the extent reasonably necessary to and consistent with the liquidating purpose of the CDC Liquidation Trust and the Plan.

A “Disclosure Statement” dated July 3, 2012 (the “Disclosure Statement”; Docket No. 476), was filed in the Bankruptcy Case in connection with the “First Amended Joint Plan of Reorganization for CDC Corporation”, which was thereafter amended, becoming the Plan. The Disclosure Statement provides additional information regarding the Debtor prior to bankruptcy and during the Bankruptcy Case, and includes disclosures regarding the tax consequences of the Plan and the CDC Liquidation Trust. (Please refer to the Plan for a description of the terms therein to the extent that Plan provisions were modified after the filing of the Disclosure Statement.)

Contact Information


Gregory D. Ellis, Esq.
gellis@lcsenlaw.com
James C. Cifelli, Esq.
jcifelli@lcsenlaw.com
Lamberth, Cifelli, Stokes, Ellis & Nason, P.A.
3343 Peachtree Road, N.E
East Tower, Suite 550
Atlanta, GA 30326
T: 404-262-7373
F: 404-262-9911


Jeffrey Kelley, Esq.
jeff.kelley@troutmansanders.com
Troutman Sanders LLP
600 Peachtree Street Suite 5200
Atlanta, GA 30308
T: 404-885-3000
F: 404-962-6847


Gregory D. Ellis, Esq.
gellis@lcsenlaw.com
James C. Cifelli, Esq.
jcifelli@lcsenlaw.com
Lamberth, Cifelli, Stokes, Ellis & Nason, P.A.
3343 Peachtree Road, N.E
East Tower, Suite 550
Atlanta, GA 30326
T: 404-262-7373
F: 404-262-9911


J. David Dantzler, Esq. david.dantzler@troutmansanders.com Troutman Sanders LLP The Chrysler Building 405 Lexington Avenue New York, NY 10174-0700 T: 212-704-6000 F: 212-704-6288

Note

Capitalized terms used on this site (exclusive of the Disclaimer page) but not otherwise defined shall have the meanings ascribed to them in the Plan.

Note

Kurtzman Carson Consultants LLC ("KCC”) maintains this website at the direction of Lamberth, Cifelli, Stokes, Ellis & Nason, P.A., counsel to the CDC Liquidation Trust. KCC maintains this website for the public's convenience and, while KCC makes every attempt to ensure the accuracy of the information contained herein, this website is not the website of the United States Bankruptcy Court and does not contain the complete, official record of the Bankruptcy Court. All documents filed with the Court are available for inspection at the Clerk of the Bankruptcy Court, Northern District of Georgia.