IN THE UNITED STATES BANKRUPTCY COURT

Case 14-10833-CSS
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IN THE UNITED STATES BANKRUPTCY COURT
FOR THE DISTRICT OF DELAWARE
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In re
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GRIDWAY ENERGY HOLDINGS, INC., et al., :
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1
Debtors.
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Chapter 11
Case No. 14-10833 (CSS)
Jointly Administered
Obj. Deadline: June 27, 2014, at 4:00 p.m. (ET)
Re: Docket Nos. 85 & 196
NOTICE OF FILING OF DECLARATION OF DISINTERESTEDNESS OF ORDINARY
COURSE PROFESSIONAL MARJORIE RAWLS ROBERTS, P.C.
PLEASE TAKE NOTICE that on April 24, 2014, the above-captioned debtors
and debtors in possession (collectively, the “Debtors”) filed the Motion of the Debtors for an
Order Authorizing the Debtors to Retain, Employ, and Compensate Certain Professionals
Utilized in the Ordinary Course of Business [Docket No. 85] (the “OCP Motion”) with the United
States Bankruptcy Court for the District of Delaware (the “Court”).
PLEASE TAKE FURTHER NOTICE that on May 14, 2014, the Court entered
an order approving the relief requested in the OCP Motion [Docket No. 196] (the “OCP Order”). 2
Among other things, the OCP Order provides that, prior to the receipt of payment for postpetition
services rendered to the Debtors and expenses incurred, each attorney shall file and serve the
attorney declaration of disinterestedness (the “Attorney Declaration”), attached to the OCP Order
as Exhibit B and each non-attorney shall file and serve the professional declaration of
disinterestedness (the “Professional Declaration,” together with the Attorney Declaration, a
“Declaration of Disinterestedness”), attached to the OCP Order as Exhibit C.
1
The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification
number, are: Gridway Energy Holdings, Inc. (5072); Glacial Energy Holdings (3292); Glacial Energy, Inc. (1189);
Glacial Energy of New York (0776); Glacial Energy of New England, Inc. (1724); Glacial Energy of Maryland, Inc.
(7173); Glacial Energy of California, Inc. (1795 ); Glacial Energy of Illinois, Inc. (1796); Glacial Energy of New
Jersey, Inc. (8671); Glacial Energy of Pennsylvania, Inc. (9762); Glacial Energy of Texas (1517); Glacial Energy of
Washington DC, Inc. (5548); Glacial Energy of Ohio, Inc. (0103); Glacial Energy of Michigan, Inc. (7110); Glacial
Natural Gas, Inc. (0165); Negawatt Business Solutions (6299); Negawatt Business Solutions, Inc. (f/k/a Gridway
Energy Partners, Inc.) (7086); Ziphany, L.L.C. (7934); and Glacial Energy VI, LLC (1142). The location of the
headquarters of Glacial Energy VI, LLC is 5326 Yacht Haven Grande, Box 36, St. Thomas, VI 00802. The location
of the headquarters for the remaining Debtors is 24 Massachusetts Route 6A, Sandwich, MA 02563.
2
All capitalized terms not otherwise defined herein shall have the meaning ascribed to them in the OCP Motion.
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PLEASE TAKE FURTHER NOTICE that in accordance with the OCP Order,
the Debtors hereby file the OCP Declaration, attached hereto as Exhibit 1, for the Ordinary
Course Professional listed therein.
PLEASE TAKE FURTHER NOTICE that any objections (each, an “OCP
Objection”) to the retention of the Ordinary Course Professional listed in the attached OCP
Declaration by any party in interest in these Chapter 11 Cases must be filed with the Court, and at
the same time served upon the affected Ordinary Course Professional and the following parties,
on or before 4:00 p.m. (prevailing Eastern Time) on June 27, 2014 (the “OCP Objection
Deadline”): (i) the U.S. Trustee, J. Caleb Boggs Federal Building, Room 2207, 844 N. King
Street, Wilmington, Delaware 19801, Attention: Jane M. Leamy; (ii) the Debtors, Glacial Energy,
5326 Yacht Haven Grande, Box 36, St. Thomas, VI 00802, Attention: Randy Lennan; (iii)
counsel to the Debtors, Patton Boggs LLP, 2550 M Street N.W., Washington, D.C. 20037,
Attention: Alan M. Noskow, Esq. and Mark A. Salzberg, Esq., and Young Conaway Stargatt &
Taylor, LLP, 1000 North King Street, Wilmington, Delaware 19801, Attention: Travis G.
Buchanan, Esq.; (iv) counsel to the Official Committee of Unsecured Creditors, Lowenstein
Sandler LLP, 65 Livingston Avenue, Roseland, New Jersey 07068, Attention: Sharon Levine,
Esq. and Philip G. Gross, Esq., and The Rosner Law Group LLC, 824 Market Street, Suite 810,
Wilmington, Delaware 19801, Attention: Frederick B. Rosner, Esq. and Julia B. Klein, Esq.; and
(v) counsel to any official committee (collectively, the “Notice Parties”).
PLEASE TAKE FURTHER NOTICE THAT IF NO OCP OBJECTION IS
RECEIVED ON OR BEFORE THE OCP OBJECTION DEADLINE WITH RESPECT TO
THE ORDINARY COURSE PROFESSIONAL IDENTIFIED ON THE OCP
DECLARATION, THE DEBTORS SHALL BE AUTHORIZED TO RETAIN AND PAY
SUCH ORDINARY COURSE PROFESSIONAL IN THE MANNER PROVIDED FOR IN
THE OCP ORDER.
[SIGNATURE PAGE FOLLOWS]
Case 14-10833-CSS
Dated:
June 12, 2014
Wilmington, Delaware
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YOUNG CONAWAY STARGATT & TAYLOR, LLP
/s/ Donald J. Bowman, Jr.
Michael R. Nestor (No. 3526)
Joseph M. Barry (No. 4221)
Donald J. Bowman, Jr. (No. 4383)
Rodney Square
1000 North King Street
Wilmington, Delaware 19801
Telephone: 302.571.6600
Facsimile: 302.571.1253
-andAlan M. Noskow (admitted pro hac vice)
Mark A. Salzberg (admitted pro hac vice)
PATTON BOGGS LLP
2550 M St. NW
Washington, DC 20037
Telephone: 202.457.6000
Facsimile: 202.457.6315
Co-Attorneys for the Debtors
and Debtors in Possession
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EXHIBIT 1
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