Notice of Suggestion of Bankruptcy of the National Rifle Association of America — MDL No. 2979 (J.P.M.L.)
- Date
- 2021-01-15
Summary
A Notice of Suggestion of Bankruptcy of the National Rifle Association of America and Sea Girt LLC, filed January 15, 2021 as Document 41 before the United States Judicial Panel on Multidistrict Litigation in In re: National Rifle Association Business Expenditures Litigation, MDL Docket No. 2979. The notice states that the NRA and Sea Girt LLC filed voluntary chapter 11 petitions under 11 U.S.C. §§ 101-1532 on January 15, 2021, pending in the United States Bankruptcy Court for the Northern District of Texas, Dallas Division, under Case Nos. 21-30085-11and 21-30080-11. It quotes the acts barred by the automatic stay of Section 362(a) of the Bankruptcy Code. The three-page notice is signed by Sarah B. Rogers of Brewer, Attorneys & Counselors, with a certificate of service.
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Full text
Case MDL No. 2979 Document 41 Filed 01/15/21 Page 1 of 3
BEFORE THE UNITED STATES JUDICIAL PANEL
ON MULTIDISTRICT LITIGATION
IN RE: NATIONAL RIFLE §
ASSOCIATION BUSINESS §
EXPENDITURES LITIGATION § MDL Docket No. 2979
§
§
NOTICE OF SUGGESTION OF BANKRUPTCY OF
THE NATIONAL RIFLE ASSOCIATION OF AMERICA AND SEA GIRT LLC
Please be advised that the National Rifle Association of America (the “NRA” or the
“Association”) and Sea Girt LLC (“Sea Girt”) (collectively, the “Debtors”), filed petitions
commencing voluntary cases under chapter 11 of Title 11 of the United States Code, 11 U.S.C.
§§ 101-1532, as amended (the “Bankruptcy Code”) on January 15, 2021. The bankruptcy cases
are pending in the United States Bankruptcy Court for the Northern District of Texas, Dallas
Division, and are administered under Case Nos. 21-30085-11and 21-30080-11.
Section 362(a) (Automatic Stay) of the Bankruptcy Code automatically prohibits, inter
alia, the following:
the commencement or continuation, including the issuance or employment
of process, of a judicial, administrative, or other action or proceeding
against the debtor that was or could have been commenced before the
commencement of the case under this title, or to recover a claim against the
debtor that arose before the commencement of the case under this title;
the enforcement, against the debtor or against property of the estate, of a
judgment obtained before the commencement of the case under this title;
any act to obtain possession of property of the estate or of property from the
estate or to exercise control over property of the estate.
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4817-0233-5703.1
2277-02
Case MDL No. 2979 Document 41 Filed 01/15/21 Page 2 of 3
Dated: January 15, 2021 Respectfully submitted,
By: /s/ Sarah B. Rogers __
William A. Brewer III
wab@brewerattorneys.com
Sarah B. Rogers
sab@brewerattorneys.com
BREWER, ATTORNEYS & COUNSELORS
750 Lexington Avenue, 14th Floor
New York, New York 10022
Telephone: (212) 489-1400
Facsimile: (212) 751-2849
ATTORNEYS FOR MOVANT THE
NATIONAL RIFLE ASSOCIATION OF
AMERICA
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4817-0233-5703.1
2277-02
Case MDL No. 2979 Document 41 Filed 01/15/21 Page 3 of 3
CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the foregoing Notice of Suggestion of
Bankruptcy was electronically served via the Court’s electronic case filing system upon all
counsel of record on this 15th day of January 2020.
/s/ Sarah B. Rogers
Sarah B. Rogers
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