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Doc780 appeal notice hulse stucki_details
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Doc780 appeal notice hulse stucki_details

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  • 1. Case 09-33918-hdh11 Doc 780 Filed 02/17/12 Entered 02/17/12 09:32:50 Desc Main Document Page 1 of 3ERIC A. LIEPINSERIC A. LIEPINS, P.C.12770 Coit RoadSuite 1100Dallas, Texas 75252(972) 991-5591(972) 991-5788 - telecopierATTORNEY FOR HULSE STUCKI IN THE UNITED STATES BANKRUPTCY COURT FOR THE NORTHERN DISTRICT OF TEXAS DALLAS DIVISIONIN RE: § §FIRSTPLUS FINANCIAL GROUP, INC § CASE NO. 09-33918-HDH-11 § DEBTOR. § APPELLANT’S DESIGNATION AND STATEMENT OF ISSUES ON APPEAL Hulse Stucki, Creditor, party-in-interest and Appellant in the above styled and numberedbankruptcy proceeding and in connection with the appeal of the Court’s Order Confirming Trustee’sAmended plan of Liquidation for the Debtor [Docket #770] entered on February 7, 2012, filed thisits designation of Items for the record and Statement of Issues on Appeal made pursuant to and incompliance with the Federal Rules of Bankruptcy procedure 8006. DESIGNATION OF THE RECORDAppellant designates the following items to be included in he record on appeal:Number Item Docket Number1. Motion Pursuant to section 502(a) of the Bankruptcy
  • 2. Case 09-33918-hdh11 Doc 780 Filed 02/17/12 Entered 02/17/12 09:32:50 Desc Main Document Page 2 of 3 Code to allow Claim for Breach of Contract and Rule 9019 of the Federal Rules of Bankruptcy Procedure to approve Settlement and Compromise 5152. Trustee’s First Amended Plan of Liquidation for Debtor 6013. Disclosure statement for Chapter 11 Trustee’s Amended Plan of Liquidation for Debtor 6034. Order Confirming Plan 770 Pursuant to Local Rule 8006.2 copies of the materials identified above will be provided tothe clerk of the Bankruptcy Court on or before 20 days from the date of the filing of this Designation. STATEMENT OF ISSUES ON APPEAL 1. Whether the Bankruptcy Court erred in finding that the claims of former shareholders of the Debtor were not subject to mandatory subordination pursuant to 11 U.S.C. §510(b). 2. Whether the Bankruptcy Court erred in finding that the treatment of former shareholder claims pari passu with the claims of allowed general unsecured creditors did not violate the absolute priority rule. Respectfully submitted,
  • 3. Case 09-33918-hdh11 Doc 780 Filed 02/17/12 Entered 02/17/12 09:32:50 Desc Main Document Page 3 of 3 _/s/ Eric Liepins____________ Eric A. Liepins, SBN 12338110 12770 Coit Road Suite 1100 Dallas, Texas 75251 (972) 991-5591 (972) 991-5788 - telecopier ATTORNEY FOR HULSE STUCKI CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the foregoing Notice of Designation was sentto Peter Franklin, 10501 N. Central Expressway, Suite 106, Dallas, Texas 75231 on this the 17th dayof February 2012. _____/s/ Eric Liepins__________________ Eric A. Liepins

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