|
---|
Category:Legal-Correspondence
MONTHYEARML24141A1482024-05-17017 May 2024 05.17.24 Supplemental Excerpts of Record ML24088A0252024-03-27027 March 2024 03.27.24 Respondents Motion for Extension ML24067A0882024-03-0404 March 2024 Email Hearing Request from San Luis Obispo Mothers for Peace, Friends of the Earth, and Environmental Working Group ML23354A0362023-12-19019 December 2023 12.19.23 Respondents Second 28(j) Letter ML23192A0252023-07-0303 July 2023 7-3-23 Petitioners Excerpts of Record Volume 3 (9th Cir.)(Case No. 23-852) ML23192A0212023-07-0303 July 2023 7-3-23 Petitioners Excerpts of Record Volume 1 (9th Cir.)(Case No. 23-852) ML23192A0192023-07-0303 July 2023 7-3-23 Petitioners Excerpts of Record Index (9th Cir.)(Case No. 23-852) ML23192A0232023-07-0303 July 2023 7-3-23 Petitioners Excerpts of Record Volume 2 (9th Cir.)(Case No. 23-852) ML23161A0012023-06-0606 June 2023 6-6-23 Respondents Motion to Extend the Time to File the Certified Index (9th Cir.)(Case No. 23-852) ML23144A2482023-05-17017 May 2023 5-17-23 Motion to Intervene Filed by Pge (9th Cir.)(No. 23-852) ML23136A0132023-05-10010 May 2023 5-10-23 Slompf Mediation Questionnaire (9th Cir.)(Case No. 23-852) ML21067A4142021-03-0808 March 2021 3-8-21 Mandate from 9th Circuit - Public Watchdogs V NRC 9th Cir 20-70899(Filed) ML18337A0642018-11-26026 November 2018 Court Mandate - 11-26-2018 - Foe V NRC - DC Cir 16-1004 ML16314B6872016-11-0909 November 2016 Intervenors' Request for Documents and Records from the Nuclear Relation to Geology and Seismicity ML16057A1982016-02-25025 February 2016 Federal Respondent'S Response to Opposition to Petitioner'S Motion to Hold the Case in Abeyance 2-25-16 ML16043A4972016-02-11011 February 2016 Petitioners Certificate Parties 2-11-16 ML15012A5462014-12-12012 December 2014 14-1213(D.C.Cir.) Certified Index of Record (Filed) ML15007A5122014-12-0101 December 2014 Petitioner'S Filing of the Underlying Decision from Which the Petition Arises ML12137A0242012-05-15015 May 2012 Diablo Canyon - May Hearing File Update ML1030200242010-10-28028 October 2010 San Luis Obispo Mothers for Peace V. USNRC; No. 08-75058 - Oral Argument Scheduled for November 4, 2010 Before Judges Reinhardt, Thomas & Chief Judge Restani of the International Court of Trade ML0717601352007-05-0303 May 2007 5/3/2007 - Petitioner'S Reply to Respondents' Opposition to Motion for Attorneys Fees and Costs Between San Luis Obispo Mother for Peace V. USNRC and Pacific Gas & Electric Co; No. 03-74628 ML0717601492007-02-14014 February 2007 2/14/2007 - Corrected Petitioners Motion for Attorney'S Fees and Costs, Errata Sheet and Additional Declarations; No. 03-74628 ML0703305102006-11-17017 November 2006 No. 06-466; Letter from the Honorable William K. Suter Granting the Extension of Time ML0703304402006-11-16016 November 2006 No. 06-466; Letter to the Honorable William K. Suter Petition for a Writ of Certiorari ML0703304422006-10-25025 October 2006 Corrected Letter from the Honorable William K. Suter for the Extension of Time No. 06-466 ML0703304442006-10-23023 October 2006 Letter from William K. Suter, Clerk Response to the Petition for a Writ of Certiorari Granting Extension of Time ML0703305212006-10-20020 October 2006 Letter to the Honorable William K. Suter, Regarding Pacific Gas & Electric Company V. San Luis Obispo Mother for Peace, Et At. S. Ct No. 06-466 ML0703305182006-10-20020 October 2006 Letter to U.S. Supreme Court Docket No. 06-466 Requesting a 29-Day Extension of Time for Filing an Opposition to the Petition for Certiorari ML0622301182006-07-0606 July 2006 Reply to Petitioners' Response to Government'S Motion for Extension of Time within Which to File a Petition for Rehearing or Rehearing En Banc, Dated 07/06/2006 ML0622301172006-07-0505 July 2006 Petitioners' Response to Us Nrc'S Motion for Extension of Time to File Petition for Rehearing, Dated 07/05/2006 ML0622301232006-06-29029 June 2006 Federal Respondents' Motion for Extension of Time in Which to File a Petition for Rehearing En Banc, Dated 06/29/2006 ML0622301222006-06-0202 June 2006 Petition for Review of an Order of the Nuclear Regulatory Commission, Filed 06/02/2006 ML0533202202005-11-17017 November 2005 Federal Respondents' Fifth Filing Under Frap 28J, Dated 11/17/05 ML0531801412005-11-0909 November 2005 Federal Respondents' Fourth Filing Under Frap 28J, Dated 11/9/05 ML0533202592005-10-11011 October 2005 Federal Respondents' Second Filing Under Frap 28J, Dated 10/11/05 ML0503101152005-01-12012 January 2005 Original Mandate Transmitted to NRC, Dated 01/12/05 ML0436502262004-11-24024 November 2004 Letter to Court Clerk from G. Kim Clarification of a Post-Oral Argument Letter, Dated 11/24/04 ML0436502302004-11-19019 November 2004 Letter to Court Clerk from R. Mcdiarmid Information of e-mail Messages, Dated 11/19/04 ML0436502382004-11-15015 November 2004 Facsimile Message to Courtroom Deputy Clerk from G. Kim Oral Argument Schedules 11/19/04 ML0436502342004-11-15015 November 2004 Letter to Court Clerk from R. Mcdiarmid Oral Argument for 11/19/04, Dated 11/15/04 ML0421802322004-07-30030 July 2004 Errata Re Eighth and Final Fee Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for Winston & Strawn ML0421702892004-07-26026 July 2004 Final Application of Pricewaterhousecoopers Llp for Allowance and Payment of Compensation and Reimbursement of Expenses (September 1, 2002 Through February 28, 2003) ML0421004272004-07-21021 July 2004 Notice of Motion and the California Power Exchange Corporation Motion for Authority to Amend Prepetition Claim, Memorandum of Points and Authorities, Declaration of Marc S. Cohen in Support Thereof ML0421004302004-07-20020 July 2004 Notice of Application & California Power Exchange Corporation'S Application for Payment of Professional Compensation & Reimbursement of Expenses Under 11 U.S.C. 503(b)(3) & (4); Memorandum of Points and Authorities; Declarations of Cohen, R ML0420202962004-07-12012 July 2004 Eighth and Final Application for Allowance of Fees and Expenses of Winston & Strawn Llp (August 16, 2001 Through April 12, 2004) ML0420203032004-07-12012 July 2004 Exhibits in Support of Motion of the City of Palo Alto for Order Directing Payment of Reasonable Attorneys' Fees and Costs Pursuant to Section 503(b)(3)(D), 503(b)(3)(F) and 503(b)(4) ML0420302692004-07-12012 July 2004 Ninth Interim and Final Application of FTI Consulting Inc. for Allowance and Payment of Compensation and Reimbursement of Expenses (April 11, 2001 Through April 12, 2004); Declaration of Thomas E. Lumsden in Support Thereof ML0421004192004-07-0404 July 2004 Appendix of Exhibits in Support of the California Power Exchange Corporation'S Application for Payment of Professional Compensation and Reimbursement of Expenses Under 11 U.S.C. 503(b)(3) and (4) ML0416706302004-06-0707 June 2004 Modesto Irrigation District'S Response to Debtor'S Objection to Claim ML0415902522004-05-28028 May 2004 Saybrook Capital, LLC Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for April 1 Through April 12, 2004 2024-05-17
[Table view] Category:Legal-Correspondence/Maintenance
MONTHYEARML0533202202005-11-17017 November 2005 Federal Respondents' Fifth Filing Under Frap 28J, Dated 11/17/05 ML0531801412005-11-0909 November 2005 Federal Respondents' Fourth Filing Under Frap 28J, Dated 11/9/05 ML0533202592005-10-11011 October 2005 Federal Respondents' Second Filing Under Frap 28J, Dated 10/11/05 ML0503101152005-01-12012 January 2005 Original Mandate Transmitted to NRC, Dated 01/12/05 ML0436502262004-11-24024 November 2004 Letter to Court Clerk from G. Kim Clarification of a Post-Oral Argument Letter, Dated 11/24/04 ML0436502302004-11-19019 November 2004 Letter to Court Clerk from R. Mcdiarmid Information of e-mail Messages, Dated 11/19/04 ML0436502382004-11-15015 November 2004 Facsimile Message to Courtroom Deputy Clerk from G. Kim Oral Argument Schedules 11/19/04 ML0436502342004-11-15015 November 2004 Letter to Court Clerk from R. Mcdiarmid Oral Argument for 11/19/04, Dated 11/15/04 ML0421802322004-07-30030 July 2004 Errata Re Eighth and Final Fee Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for Winston & Strawn ML0421702892004-07-26026 July 2004 Final Application of Pricewaterhousecoopers Llp for Allowance and Payment of Compensation and Reimbursement of Expenses (September 1, 2002 Through February 28, 2003) ML0421004272004-07-21021 July 2004 Notice of Motion and the California Power Exchange Corporation Motion for Authority to Amend Prepetition Claim, Memorandum of Points and Authorities, Declaration of Marc S. Cohen in Support Thereof ML0421004302004-07-20020 July 2004 Notice of Application & California Power Exchange Corporation'S Application for Payment of Professional Compensation & Reimbursement of Expenses Under 11 U.S.C. 503(b)(3) & (4); Memorandum of Points and Authorities; Declarations of Cohen, R ML0420302692004-07-12012 July 2004 Ninth Interim and Final Application of FTI Consulting Inc. for Allowance and Payment of Compensation and Reimbursement of Expenses (April 11, 2001 Through April 12, 2004); Declaration of Thomas E. Lumsden in Support Thereof ML0420203032004-07-12012 July 2004 Exhibits in Support of Motion of the City of Palo Alto for Order Directing Payment of Reasonable Attorneys' Fees and Costs Pursuant to Section 503(b)(3)(D), 503(b)(3)(F) and 503(b)(4) ML0420202962004-07-12012 July 2004 Eighth and Final Application for Allowance of Fees and Expenses of Winston & Strawn Llp (August 16, 2001 Through April 12, 2004) ML0421004192004-07-0404 July 2004 Appendix of Exhibits in Support of the California Power Exchange Corporation'S Application for Payment of Professional Compensation and Reimbursement of Expenses Under 11 U.S.C. 503(b)(3) and (4) ML0416706302004-06-0707 June 2004 Modesto Irrigation District'S Response to Debtor'S Objection to Claim ML0416001862004-05-28028 May 2004 Cooley Godward Llp'S Thirty-Fifth Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period April 1, 2004 - April 12, 2004 ML0416005722004-05-28028 May 2004 Rothschild Inc'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period April 1, 2004 - April 12, 2004 ML0416005602004-05-28028 May 2004 Deloitte & Touche Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses (March 1, 2004 to April 12, 2004) ML0415902522004-05-28028 May 2004 Saybrook Capital, LLC Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for April 1 Through April 12, 2004 ML0415603342004-05-27027 May 2004 Howard, Rice, Nemerovski, Canady, Falk & Rabkin Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for April 1, 2004 Through April 12, 2004 ML0415603072004-05-26026 May 2004 FTI Consulting Inc. Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for April 1, 2004 to April 12, 2004 ML0415508302004-05-26026 May 2004 Steefel, Levitt & Weiss'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period April 1-12 2004 ML0415603352004-05-25025 May 2004 Innisfree M&A Incorporated'S Fourth Interim Cover Sheet Application for Allowance and Payment of Compensation and Reimbursement of Expenses for the Period January 1, 2004 - April 12, 2004 ML0415902482004-05-25025 May 2004 Milbank, Tweed, Hadley & Mccloy Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for April 1, 2004 Through April 12, 2004 ML0415404112004-05-24024 May 2004 Winston & Strawn Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period April 1.2004 Through April 12 2004 ML0414900892004-05-21021 May 2004 Heller Ehrman White & Mcauliffe Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period April 1, 2004, Through April 12, 2004 ML0415903242004-05-21021 May 2004 Public Policy Advocates Llc'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for April 1, 2004 Through April 12, 2004 ML0414701812004-05-20020 May 2004 Legc, LLC Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period April 1. 2004 to April 12 200 ML0413203762004-04-30030 April 2004 Saybrook Capital, LLC Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for March 1 Through March 31, 2004 ML0412705072004-04-30030 April 2004 Steefel, Levitt & Weiss'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period March 1-31, 2004 ML0413303832004-04-30030 April 2004 Rothschild Inc'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period March 1, 2004 - March 31, 2004 ML0413303802004-04-30030 April 2004 Howard, Rice, Nemerovski, Canady, Falk & Rabkin Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for March. 2004 ML0413203702004-04-30030 April 2004 FTI Consulting Inc. Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for March 1, 2004 to March 31, 2004 ML0413202012004-04-30030 April 2004 Cooley Godward Llp'S Thirty-Fourth Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period March 1, 2004 - March 31, 2004 ML0413203752004-04-30030 April 2004 Heller Ehrman White & Mcauliffe Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period March 1, 2004, Through March 31, 2004 ML0412700262004-04-29029 April 2004 Winston & Strawn Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period, March 1. 2004 Through March 31. 2004 ML0412700412004-04-27027 April 2004 Keker & Van Nest'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period March 1, 2004 to March 31, 2004 ML0414701802004-04-23023 April 2004 Milbank, Tweed, Hadley & Mccloy Llp'S Cover Sheet - Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for March 2004 ML0412102292004-04-22022 April 2004 Lecg, LLC Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period 03/01-31/2004 ML0414701852004-04-15015 April 2004 Public Policy Advocates Llc'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for March 1, 2004 Through March 31, 2004 ML0414102072004-04-12012 April 2004 Keker & Van Nest'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period April 1, 2004 to April 12, 2004 ML0410703992004-03-31031 March 2004 FTI Consulting Inc. Cover Sheet Applications for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for February 1, 2004 to February 29, 2004 ML0409804962004-03-31031 March 2004 Cooley Godward Llp'S Thirty-Third Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period February 1, 2004 - February 29, 2004 ML0409704632004-03-30030 March 2004 Howard, Rice, Nemerovski, Canady, Falk & Rabkin Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for February, 2004 ML0409704442004-03-30030 March 2004 Deloitte & Touche Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses (February 1, 2004, to February 29, 2004) ML0409704382004-03-29029 March 2004 Lecg, LLC Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period February 1, 2004 to February 29, 2004 ML0409703622004-03-29029 March 2004 Skadden, Arps, Slate, Meagher & Flom Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period February 1, 2004 Through February 29, 2004 ML0409805892004-03-26026 March 2004 Milbank, Tweed, Hadley & Mccloy Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for February 2004 2005-11-09
[Table view] |
Text
1 JAMES L. LOPES (No. 63678)
JEFFREY L. SCHAFFER (No. 91404) 2 GARY M. KAPLAN (No. 155530)
HOWARD, RICE, NEMEROVSKI, CANADY, 2( 12-3 FALK & RABKIN A Professional Corporation 4 Three Embarcadero Center, 7th Floor San Francisco, California 94111-4065 5 Telephone: 415/434-1600 Facsimile: 415/217-5910 6
Attorneys for Debtor and Debtor in Possession 7 PACIFIC GAS AND ELECTRIC COMPANY 8
9 UNITED STATES BANKRUPTCY COURT 10 NORTHERN DISTRICT OF CALIFORNIA 11 SAN FRANCISCO DIVISION 12 In re Case No. 0 1-30923 DM HOWARD 13 RICE PACIFIC GAS AND ELECTRIC Chapter 11 CANEMt1 FAUK 14 COMPANY, a California corporation, HEARING
,.C.~ 15 Debtor.
Date: February 26, 2002 16 Time: 9:30 a.m.
Federal I.D. No. 94-0742640 Place: 235 Pine Street, 22nd Floor 17 San Francisco, California 18 DEBTOR'S NOTICE OF MOTION AND MOTION FOR ORDER 19 MODIFYING STIPULATION: (I) AUTHORIZING USE OF CASH COLLATERAL PURSUANT TO 11 U.S.C. § 363 AND BANKRUPTCY 20 RULE 4001 AND (II) GRANTING ADEQUATE PROTECTION PURSUANT TO 11 U.S.C. §§ 361 AND 363; 21 SUPPORTING MEMORANDUM OF POINTS AND AUTHORITIES 22 [SUPPORTING DECLARATION OF KENT HARVEY FILED HEREWITH]
23 24 25 26 #0/1 ý /),,/, (ý(,e?ý 27 28 MOTION TO MODIFY STIPULATION RE USE OF MORTGAGE BONDHOLDERS' CASH COLLATERAL 1 NOTICE OF MOTION AND MOTION 2
3 PLEASE TAKE NOTICE that on February 26, 2002, at 9:30 a.m., or as soon 4 thereafter as the matter may be heard, in the Courtroom of the Honorable Dennis Montali, 5 located at 235 Pine Street, 22nd Floor, San Francisco, California, Pacific Gas and Electric 6 Company, the debtor and debtor in possession in the above-captioned Chapter 11 case (the 7 "Debtor" or "PG&E"), will and hereby does move the Court (the "Motion") for entry of an 8 order authorizing modification of the Stipulation: (I) Authorizing and Restricting Use of 9 Cash Collateral Pursuant to 11 U.S.C. § 363 and Bankruptcy Rule 4001 and (II) Granting 10 Adequate Protection Pursuant to 11 U.S.C. §§ 361 and 363 (the "Stipulation") previously 11 approved by this Court's Order of May 9, 2001. By this Motion, PG&E seeks approval from 12 the Court to modify the Stipulation with BNY Western Trust Company, as successor trustee 13 pursuant to a certain indenture with respect to certain mortgage bonds issued by PG&E, to HOWA.RD RKE N-" 14 provide for PG&E's timely payment of the principal amount of the bonds maturing on
,&t4AH(IN
, 15 March 1, 2002, in the approximate amount of $333 million. As discussed in greater detail 16 below, PG&E's obligations are substantially oversecured, and PG&E submits that such 17 payment will benefit the estate financially because the bonds accrue interest at a rate 18 significantly in excess of the rates currently earned by PG&E on its cash balances.
19 The Motion is based on this Notice of Motion and Motion, the supporting 20 Memorandum of Points and Authorities (set forth below) and Declaration of Kent Harvey 21 (submitted herewith), the record of this case and any admissible evidence presented to the 22 Court at or prior to the hearing on this Motion.
23 PLEASE TAKE FURTHER NOTICE that pursuant to Rule 9014-1 (c)(2) of the 24 Bankruptcy Local Rules of the United States District Court for the Northern District of 25 California, any opposition to the Motion and the relief requested herein must be filed with 26 the Bankruptcy Court and served upon appropriate parties (including counsel for PG&E) at 27 least five (5) days prior to the scheduled hearing date. If there is no timely objection to the 28 requested relief, the Court may enter an order granting such relief without further hearing.
MOTION TO MODIFY STIPULATION RE USE OF MORTGAGE BONDHOLDERS' CASH COLLATERAL 1 MEMORANDUM OF POINTS AND AUTHORITIES 2 I.
3 INTRODUCTION1 4 By this Motion, PG&E seeks the Court's approval to modify the Stipulation with BNY 5 Western Trust Company, as successor trustee (the "Indenture Trustee") pursuant to that 6 certain indenture dated December 1, 1920 with respect to mortgage bonds (the "Bonds")
7 issued by PG&E, which indenture has been supplemented by fourteen supplemental 8 indentures (collectively, the "Indenture"). In particular, the proposed modification would 9 provide for the timely payment by PG&E of the principal amount of the Bonds (1992 Series 2
10 A) scheduled to mature on March 1, 2002, in the approximate amount of $333 million.
11 II.
12 FACTUAL BACKGROUND 13 1. On April 6, 2001, PG&E filed a voluntary petition under Chapter 11 of the HOARD RKE cEAmI14 Bankruptcy Code. PG&E continues to manage and operate its business and property as a MJ(
&RABOIN APt,,c 15 debtor in possession pursuant to Sections 1107 and 1108 of the Bankruptcy Code.
16 2. On May 9, 2001, this Court issued its Order on Debtor's Motion for Order 17 Approving Stipulation: (I) Authorizing and Restricting Use of Cash Collateral Pursuant to 11 18 U.S.C. § 363 and Bankruptcy Rule 4001 and (II) Granting Adequate Protection Pursuant to 19 11 U.S.C. §§ 361 and 363 (the "Order Approving Stipulation"), approving PG&E's entry 20 into and performance under the Stipulation. The Stipulation provides for PG&E's continued 21 use of cash collateral in which the Indenture Trustee has an interest (on behalf of the holders 22 of the Bonds) pursuant to certain conditions and restrictions. Among other things, the 23 Stipulation provides for the timely payment of interest and sinking fund payments as 24 provided under the Indenture. The annual amount of interest and sinking fund payments 25 1 The evidentiary basis and support for the facts set forth in this Motion are contained 26 in the Declaration of Kent Harvey filed concurrently herewith.
2 The current amount outstanding of the 1992 Series A Bonds is approximately $340 27 million. Approximately $7 million of these Bonds that are held in treasury by PG&E will be satisfied by a sinking fund payment scheduled to be made on February 1, 2002.
28 MOTION TO MODIFY STIPULATION RE USE OF MORTGAGE BONDHOLDERS' CASH COLLATERAL 1 currently accruing on the Bonds is approximately $300 million.
2 3. PG&E and the Indenture Trustee have continued to perform their respective 3 obligations under the Stipulation since the entry of the Order Approving Stipulation.
4 4. PG&E's obligations under the Indenture are substantially oversecured. The total 5 unpaid indebtedness under the Bonds is approximately $3.7 billion. Such indebtedness is 6 secured by a first-priority lien on substantially all of PG&E's assets. PG&E reported total 7 assets of approximately $25 billion as of November 30 2001 on its most recently filed 8 Operating Report. In addition, PG&E is solvent and expects to pay all allowed claims 9 against the Debtor's estate in full. Thus, there is little doubt that the Bonds will eventually 3
10 be satisfied in full.
11 5. The 1992 Series A Bonds, which are scheduled to mature on March 1, 2002, 12 accrue interest at 7-7/8% (7.875%) per annum.4 If PG&E is authorized to make the March HOWARD 13 2002 principal payment on the Bonds, it expects to do so using cash currently held by the N NAi.
MAI(
14 estate. As reported on PG&E's most recent Operating Report, PG&E had a cash balance of
&PANIN AY~,_C* .15 approximately $4.9 billion as of November 30, 2001. PG&E submits that such payment will 16 benefit the estate financially because the Bonds accrue interest at a rate significantly in 17 excess of the rates currently being earned by PG&E on its cash balances. By contrast, if 18 PG&E fails to timely make the March 2002 principal payment, it risks being in default under 19 the Indenture, and the negative consequences that may flow from such a default (e.g., the 20 potential acceleration of all series of the Bonds).
21 III.
22 THE PROPOSED MODIFICATIONS TO THE STIPULATION 23 The Stipulation currently provides (in paragraph 21) as follows:
24 "As additional adequate protection hereunder, the Indenture Trustee and the 25 PG&E's proposed Chapter 11 plan currently before the Court provides for payment 26 of the Bonds in full in cash (except for a small portion of the Bonds which secure the 27 Debtor's pollution control bonds, which are to be replaced by new bonds).
4 The next series of Bonds scheduled to mature is in August 2003.
28 MOTION TO MODIFY STIPULATION RE USE OF MORTGAGE BONDHOLDERS' CASH COLLATERAL 1 Bondholders shall be entitled to the payment of accrued and unpaid interest and sinking fund payments due and payable under the Indenture (the "Pre-Petition 2 Indebtedness') on or prior to the Petition Date at the prevailing rate (with respect to interest payments) in effect under the'Indenture. Additionally, interest on the 3 Pre-Petition Indebtedness shall continue to accrue subsequent to the Petition Date at the prevailing rate under the Indenture and shall be payable on the terms set 4 forth therein. Furthermore, any and all sinking fund payments that become due subsequent to the Petition Date shall be payable on the terms set forth in the 5 Indenture."
6 The Indenture Trustee has requested, and PG&E has agreed (subject to this Court's 7 approval) to modify paragraph 21 of the Stipulation to add the following sentence at the end 4
8 of such paragraph:
9 "In addition, the principal amount of the Bonds scheduled to mature on March 1, 2002 in the approximate amount of $333 million shall be payable on the terms set 10 forth in the Indenture."
11 PG&E submits that the proposed modification to the Stipulation is consistent with the 12 Court's Guidelines for Cash Collateral and Financing Stipulations.
H 13 IV.
RCE q 14 THE COURT SHOULD AUTHORIZE THE PROPOSED
____ MODIFICATION OF THE STIPULATION 15 The Stipulation expressly contemplates subsequent modifications to the Stipulation, 16 including modifications to provide different or additional adequate protection. Paragraph 12 17 of the Stipulation provides, in relevant part, as follows:
18
"[T]he grant of adequate protection to the Indenture Trustee and the Bondholders 19 pursuant hereto is without prejudice to the right of the Debtor (subject to the provisions of paragraph 14(c)), the Indenture Trustee and the Bondholders to seek 20 modification of the grant of adequate protection provided hereby so as to provide different or additional adequate protection... .
21 22 In addition to the Court's power to authorize the use of cash collateral under Section 23 363(c)(2) of the Bankruptcy Code, the Court is empowered to authorize the proposed 24 4 A "blacklined" copy of the proposed revised Stipulation is attached as Exhibit 1 to 25 the Declaration of Kent Harvey filed herewith. Exhibit 1 is not attached to the service copies of that Declaration. You may obtain copies of such documents through the "Pacific 26 Gas & Electric Company Chapter 11 Case" link accessible through the Bankruptcy Court's website (www.canb.uscourts.gov), or by written request by mail to Howard, Rice, 27 Nemerovski, Canady, Falk & Rabkin, Attn: Jerome Ferrer, Three Embarcadero Center, 7th 28 Floor, San Francisco, California 94111-4065, or by e-mail request to j ferrer@hrice.com.
MOTION TO MODIFY STIPULATION RE USE OF MORTGAGE BONDHOLDERS' CASH COLLATERAL 1 additional adequate protection pursuant to Section 361 of the Bankruptcy Code. As 2 discussed above, the Debtor submits that the proposed modification to the Stipulation is in 3 the best interests of the Debtor's estate, as the Bonds accrue interest at a rate significantly in 4 excess of the rates currently being earned by PG&E on its cash balances that would be used 5 to fund such payment. In addition, since PG&E's obligations under the Indenture are 6 substantially oversecured, and PG&E is solvent and expects to pay all allowed claims 7 against the Debtor's estate in full, there is little doubt that the Bonds will eventually be 8 satisfied in full. By contrast, if PG&E fails to timely make the March 2002 principal 9 payment, it risks being in default under the Indenture, and the negative consequences that 10 may flow from such a default (e.g., the potential acceleration of all series of the Bonds).
11 V.
12 CONCLUSION HOWAD 13 For all of the foregoing reasons, PG&E respectfully requests that this Court make and cmp" 14 enter its order:
, *O.1 . 15 1. Granting the Motion.
16 2. Authorizing the Stipulation to be modified to provide for timely payment of the 17 principal amount of the bonds maturing on March 1, 2002.
18 3. Providing for such other and further relief as the Court deems just and appropriate.
19 DATED: February J, 2002 Respectfully, 20 HOWARD, RICE, NEMEROVSKI, CANADY, 21 FALK & RABKIN A Professional Corporation 22 23 By: /VAIYP*.KAPLAN By:
24 25 Attorneys for Debtor and Debtor in Possession PACIFIC GAS AND ELECTRIC COMPANY 26 WD 013002/1-1419910/972374/v2 27 28 MOTION TO MODIFY STIPULATION RE USE OF MORTGAGE BONDHOLDERS' CASH COLLATERAL