Free Designated Record on Appeal - District Court of Delaware - Delaware


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Case 1:08-cv-00412-SLR Document 3 Filed 07/08/2008 Page 1 of 3
IN THE UNITED STATES BANKRUPTCY COURT
FOR THE DISTRICT OF DELAWARE
IN RE: : Chapter 11
QUINTUS CORPORATION, er aZ.,l Case No. 01-00501 (MFW)
: Jointly Administered
Debtors. :
QUINTUS CORPORATION,
MUSTANGCOM, INC., and :
ACUITY CORPORATION, :
Plaintiffs, Adversary No. 04-S30?-4 (MFW)
v. Re: Docket Nos.: 120, 121, 126, 148, 149
: and 153
AVAYA, INC., :
Defendant.
CHAPTER 11 TRUSTEE’S DESIGNATION OF ADDITIONAL ITEMS FOR RECORD
ON APPEAL PURSUANT TO FED.R.BANKR.P. 8006 AND LOCAL RULE 8006-1
Pursuant to Federal Rule of Bankruptcy Procedure 8006 and Del.Bankr.LR 8006-1(a),
Kurt F. Gwynne, Chapter 11 Plan Trustee (the "Trustee"), by and through his undersigned
counsel, hereby designates additional items to be included in the record on appeal relative to
Avaya Inc.’s Designation of Items for Record on Appeal and Statement of Issues on Appeal
(Adv. D.I. 153).
1 The Debtors are the following entities: Quintus Corporation, Mustangcom, Inc., and
Acuity Corp.
WlL.LIB·59?45 1

Case 1:08-cv-00412-SLB Document 3 Filed 07/08/2008 Page 2 of 3
Adversagy Proceeding {Case No. 04-530741
Docket Filing/Entry Document Title
No. Date
18 12/23/2004 Motion to Compel Discovery Directed to Defendant Avaya, Inc.
19 12/23/2004 Opening Brief in Support of Chapter 11 Trustee’s Motion to
Compel Discovery Directed to Defendant Avaya, Inc.
21 1/ 14/2005 Defendant Avaya, 1nc.’s Memorandum of Law in Opposition to
Chapter 11 Trustee’s Motion to Compel and in Support of Its
Cross-Motion to Compel Discovery Directed at Chapter 11 Trustee
23 l/31/2005 Reply Brief in Support of Chapter 11 Trustee’s Motion to Compel
Discovery Directed to Defendant Avaya, Inc., and in Opposition to
Defendant Avaya, 1nc.’s Cross-Motion to Compel Discovery
Directed at Chapter 11 Trustee
35 8/24f2005 Fourth Amended Scheduling Order
37 9/7/2005 Order Approving Second Stipulation Regarding Motions to
Compel
45 10/ 1 8/ 2005 Order Granting in Part Motion to Compel Discovery Directed to
Defendant Avaya, Inc. and Avaya’s Cross-Motion to Compel
Discovery Directed to the Trustee
113 5/9/2006 Avaya, Inc.’s Motion for Leave to File Sur-Reply in Response to
Certain New Matters First Appearing in the Reply Brief of the
Chapter ll Trustee on His Motion for Sanctions for Spoliation
114 5/ 10/2006 Avaya, 1nc.’s Amended Motion for Leave to File Sur-Reply in
Response to Certain Matters First Appearing in the Reply Brief of
the Chapter 11 Trustee on His Motion for Sanctions for Spoliation
115 5/22/2006 Chapter ll Trustee’s (1) Response to Avaya, Inc.’s Amended
Motion for Leave to File Sur-Reply in Response to Certain New
Matters First Appearing in the Reply Brief of the Chapter 11
Trustee on His Motion for Sanctions for Spoliation and (II)
Response to Avaya’s Contentions in the Sur-Reply Brief
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Case 1:08-cv-00412-SLB Document 3 Filed 07/08/2008 Page 3 of 3
Jointly Administered Bankruptcy Cases gill-00501)
Docket Filing/Entry Document Title
No. Date
185 4/ l 1/2001 Schedules with Summary & Declaration (#01-501)
186 4:*1 1/2001 Schedules with Summary & Declaration (#01-502)
I8? 4/11/2001 Schedules with Summary & Declaration (#01-503)
212 5/7/2001 Amendment to Schedule of Assets and Liabilities, Schedule F
1554 4/4/2007 Notice of Service Re: I) Initial Disclosures of Of`ficial
Committee of Equity Security Holders Pursuant to
Fed.R.Civ.P. 26(a)(1)(A)-(B), as Incorporated By
Fed.R.Bankr.P. 7026; 2) First Set or interrogatories
Propounded by Official Committee of Equity Security Holders
to State of Ohio; 3) First Set of Requests for the Production of
Documents Propounded by Official Committee of Equity
Security Holders to State of Ohio; and 4) First Set of Requests
for Admission and Supplemental Interro gatories Propounded
by Official Committee of Equity Security Holders to State of
Ohio
1558 4/23x’2007 Response to Equity Committee's Objection (Substantive) to
Claim Filed by the State of Ohio Pursuant to 1 l U.S.C. Section
502 and Fed. R. Bankr. P. 3007
Dated: July 7, 2008 Respectfully submitted,
Wilmington, Delaware
REED SMITH LLP
By: /s/ Kimberly E. C. Lawson
Kimberly E. C. Lawson (No. 3966)
1201 Market Street, Suite 1500
Wilmington, DE 19801
Telephone: (302) T/78-7500
Facsimile: (302) '/T8-T5?'5
E-mail: [email protected]
Counsel for Kurt F. Gwynne, Chapter 11 Plan
Trustee
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