Document pRm0JebYNgxqjZexmw3zm3Va
0 3 JU
1
2
3 Jennifer A. Smith (State Bar No. 61CT Etta L. Walker (State Bar No. 5537) LIONEL SAWYER & COLLINS
4 1100 Bank of America Plaza 50 W. Liberty St.
5 Reno, Nevada 89501 (775) 788-8666
6
David S. Kurtz 7 Timothy R. Pohl
SKADDEN, ARPS, SLATE, MEAGHER
& FLOM (ILLINOIS)
8 333 West Wacker Drive
Chicago, Illinois 60606 9 (312) 407-0700
10 Gregg M. Galardi
Eric M. Davis
11
SKADDEN, ARPS, SLATE, MEAGHER & FLOM LLP
One Rodney Square
12 Wilmington, Delaware 19899
(302) 651-3000
13 Attorneys for the Debtors and
14 Debtors-in-Possession
RFCnVED & FILED
?00! JUL-5 PH 18
US FAUT'.UTCY court PAIUCIA QUXi, CLERK
15
16 IN THE UNITED STATES BANKRUPTCY COURT
17 FOR THE DISTRICT OF NEVADA
18
19 In re
20
Case No. BK-N-01-31627 Chapter 11
21 WASHINGTON GROUP
ORDER ESTABLISHING BAR DATE
INTERNATIONAL, INC., et al. , FOR FILING PROOFS OF CLAIMS
22 AND APPROVING FORM AND
Debtors.
MANNER OF NOTICE THEREOF
23
Hearing Date: June 21, 2001 24 / Hearing Time: 2:00 p.m.
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26
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LIONEL SAWYER ft COLLINS
ATTORNEYS AT LAW 1 lOO BANK OF AMERICA
PLAZA SO WEST LIBERTY ST.
Reno, NEVADA 89501 ^77Ri 7P6.&AAA
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'2 3
Upon the motion, dated June 15, 2001 (the "Motion"),1
4 of the above-captioned debtors and debtors in possession (the
5 "Debtors") for an order establishing a bar date and approving
6 form and manner of notice thereof; and the Court having deter-
7 mined that the relief requested in the Motion is in the best
8 interests of the Debtors, their estates, creditors and other
9 parties-in-interest; and it appearing that proper and adequate
10 notice of the Motion has been given and that no other or further
11 notice is necessary; and upon the record of these chapter 11
12 cases; and after due deliberation thereon; and good and suffi-
13 cient cause appearing therefore; it is hereby
14 ORDERED, ADJUDGED AND DECREED THAT:
15 1. The Motion is GRANTED as set forth herein.
16
17 2. Pursuant to Rule 3003(c)(3) of the Federal Rules
18 of Bankruptcy Procedure, all Entities (as defined in section
19 101(15) of the Bankruptcy Code) holding or wishing to assert a
20 claim (as such term is defined in section 101(5) of the Bank-
21 ruptcy Code) against any of the Debtors (collectively, the
22 "Claims") are required to file a separate, completed, and exe-
23 cuted proof of claim form (conforming substantially to Official 24
Bankruptcy Form No. 10), together with accompanying documentation 25
(a "Proof of Claim") on account of any Claims such Entity holds 26
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28
LIONEL SAWYER a COLLINS
ATTORNEYS AT I.AW
1 too BANK OF AMERICA PL-AZA
Reno,
'All capitalized terms not otherwise defined herein shall have the meanings ascribed to them in the Motion.
2
1
2
3 or wishes to assert against a Debtor so that the Proof of Claim
4 is actually received on or before 5:00 p.m., prevailing Pacific
5 Time, on August 27, 2001 (the "General Bar Date") by Robert L.
6 Berger & Associates LLC (the "Claims and Noticing Agent") at the
7 following address:
8 Washington Group International, Inc. Claims
9 c/o Robert L. Berger & Associates, LLC 10351 Santa Monica Blvd., Suite 101A
10 PMB 1007
Los Angeles, CA 90025
11 Fax: (818) 905-6542
12 Facsimile submissions will be accepted. If filed by facsimile,
13 the original Proof of Claim must be promptly thereafter delivered
14 to the Claims and Noticing Agent.
15 3. Any Proof of Claim must clearly indicate the name
16 of the applicable Debtor against whom the Claim is asserted and
17 the applicable bankruptcy case number for such Debtor, and if a
18 Claim is asserted against more than one of the Debtors, a sepa
19 rate Proof of Claim must be filed in each such Debtor's bank
20
ruptcy case, unless otherwise expressly agreed by the Debtors in
21
writing prior to the General Bar Date. All Proofs of Claim must
22
be submitted with such documentation as is sufficient to estab 23
lish the right to the Claim and the amount therefore, unless 24
25 otherwise agreed by the Debtors in writing prior to the General
26 Bar Date.
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28
LIONEL SAWYER & COLLINS
ATTORN EVS AT LAW 1 lOO BANK OP AMERICA
PLAZA SO WEST LIBERTY ST.
RENO, NEVADA 89501
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4. Proofs of Claim are not required, at this time, to
4 be filed by any Entity asserting a Claim of any of the types set
5 forth below:
6 (a) Any Entity whose Claim is listed on the schedules of assets and liabilities or statements of financial
7 affairs (the "Schedules") (a) that agrees with the nature, classification, and amount of such Claim set forth in the Sched
8 ules and (b) whose Claim against a Debtor is not listed as 9 "disputed," "contingent," or "unliquidated" in the Schedules;
10 <b) Any Entity that has already properly filed a proof of claim against the correct Debtor;
11 (c) Any Entity whose Claim against a Debtor
12 previously has been allowed by, or paid pursuant to, an order of this Court;
13 (d) Any of the Debtors that hold Claims against
14 one or more of the other Debtors; and
15 (e) Any holder of equity securities of the Debtors solely with respect to such holder's ownership interest
16 in or possession of such ecfuitv securities, provided, however. 17 that any such holders who wish to assert a Claim against any of
the Debtors based on transactions in the Debtors' securities. 18 including, but not limited to. Claims for damages or recision
based on the purchase or sale of such securities, must file a 19 proof of claim on or prior to the General Bar Date.
20 5. Notwithstanding anything in this Order to the
21 contrary, with respect to any Claim relating to a Debtor's
22 rejection of an executory contract or unexpired lease that is
23 authorized by an order of the Court, the bar date for filing any
24 such Claim shall be the later of (a) the General Bar Date or (b)
25 30 days after the effective rejection date of any executory
26 contract or unexpired lease rejected by the Debtors pursuant to
27
28
LIONEL SAWYER & COLLINS
1 lOO BANK OF AMERICA PLAZA
50 WEST LIBERTY ST. Reno,
Nevada 89501
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.
1
'2 3 an order of the Court issued upon notice to the other party to
4 the contract or lease (the "Rejection Bar Date").
5 6. Notwithstanding anything in this Order to the
6 contrary, if the Debtors amend their Schedules to (i) reduce the
7 amount of a Claim that was not listed as disputed, contingent, or
8 unliquidated, (ii) to change the nature or classification of a
9 Claim, or (iii) to add a Claim not previously scheduled, the
10 holder of the Claim may file a proof of claim or amend an
11 existing proof of claim with respect to such Claim until the
12 later of (a) the General Bar Date or (b) 30 days after the holder
13 of the Claim is served with notice that the Debtors have amended
14 their Schedules with respect to the particular Claim.
15
7. Notwithstanding the foregoing, nothing in this 16
17 order will preclude the Debtors or any other party in interest
18 from objecting to any Claim, whether scheduled or filed, on any
19 grounds.
20 8. Any Entity that is required to file a proof of
21 claim pursuant to this Order for a particular Claim, but that (i)
22 fails to do so in a timely manner or (ii) does not have a proof
23 of claim filed on its behalf by any other party legally entitled
24 to do so shall be forever barred, estopped, and enjoined from: 25
(a) asserting any Claim against the Debtors in these Chapter 11 26
cases, or (b) voting upon, or receiving distributions under, any 27
28
LIONEL SAWYER & COLLINS
1 lOO BANK OF AMERICA PLAZA
50 WEST LIBERTY ST. Reno,
Nevada 89S01 ^OD.Deee
5
' '
11
*2 3 plan of reorganization in these Chapter 11 cases in respect of
4 such Claim.
5 9. If a Claim is listed in the Schedules as
6 contingent, unliquidated or disputed, then the Debtors shall be
7 considered as having objected to such Claim for voting purposes.
8 In order for the holder of such Claim to vote on any plan of
9 reorganization with respect to such Claim, the holder must file a
10 motion pursuant to Bankruptcy Rule 3018 (a) for the temporary
11 allowance of such Claim for purposes of voting on the plan. Such
12 motion must be filed no later than August 15, 2001. The holder
13 of such Claim will be entitled to vote on the plan with respect
14 to such Claim only if allowed by the Court in response to such
15 motion.
16
17 10. Nothing in this Order shall preclude the Debtors
18 from: (a) disputing, or asserting offsets or defenses against.
19 any Claim that has been filed or scheduled; or (b) amending the
20 Schedules to designate a Claim as disputed, contingent, or
21 unliquidated.
22 11. The Debtors are authorized to enter into written
23 agreements with holders of Claims, including the agent for the
24 Debtors' prepetition Bank group or any indenture trustee or other 25
party representing a group of creditors, regarding the form of 26
the proof of claim and the documentation to be provided with the 27
28
LIONEL SAWYER 8c COLLINS
ATTORNEYS AT LAW 1 lOO BANK OF AMERICA
PLAZA SO WEST LIBERTY ST.
RENO, NEVADA 89501
6
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#
1
'2 3 proof of claim. Any such written agreement shall be made
4 available to a party within ten days of written request.
5 12. The form of Bar Date Notice attached hereto as
6 Exhibit A is approved. The Claims and Noticing Agent shall mail
7 a notice in substantially the form of the attached Bar Date
8 Notice and a proof of claim form by first class U.S. mail.
9 postage prepaid to all known or reasonably ascertainable holders
10 of Claims as soon as practicable after the entry of this Order,
11 but in no event later than July 6, 2001.
12 13. The Debtors are directed to give additional notice
13 of the Bar Date Notice by publication in substantially the form
14 of the Bar Date Notice attached hereto as Exhibit A in the The
15
Idaho Statesman, the national and international editions of The 16
1 7 Wall Street Journal, the national edition of the New York Times
18 and such other publications as the Debtors deem appropriate or
19 the Committee shall request, on or before July 24, 2001, or as
20 soon thereafter as is practicable.
21 14. Provision of the Bar Date in the manner set forth
22 above shall constitute adequate and sufficient notice of the Bar 23
24
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LIONEL SAWYER & COLLINS
t 1O0 BANK OF AMERICA
50 WEST LIBERTY ST.
NEVADA 89501
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#
1
2 3 Date and shall be deemed to satisfy the requirements of the
4 Bankruptcy Code, the Federal Rules of Bankruptcy Procedure, and
5 the Local Rules of this Court.
6 APPROVED/DISAPPROVED:
7 MCDONALD CARANO WILSON MCCUNE BERGIN FRANKOVICH & HICKS LLP
8
9 BY:
10 Todd Dressel Attorneys for Official
11 Unsecured Creditors' Committee
12 APPROVED/DISAPPROVED:
13
BECKLEY SINGLETON CHTD. 14
15 BY: David McElhinney
16 Attorneys for Raytheon Company 17 18 APPROVED/DISAPPROVED:
19 OFFICE OF THE UNITED STATES TRUSTEE
20 BY: Nicholas Strozza
21 Assistant U.S. Trustee
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LIONEL SAWYER & COLLINS
t 100 BANK OF AMERICA PLAZA RENO,
NEVADA 89501
Dated:
Reno, Nevada
July
, 2001
/""'7
Sy/ / / /
------------------^
Hoi^r^ble Gregg Wy^Zive UNITED STATES BANKRUPTCY JUDGE
/
252935.02-Wilmington SIA
8
(MON) 7. 2' 01 ^5/ST. 13:13/NO. 48627B4!06 P 10
Bankruptcy Procedure, and the Local Rules of tills Court.
APPROVED /DISAPPROVED:
MCDONALD CARANO WILSON MCCUNE BERGIN FRANKOVICH & JBGXS LL1
Todd. _ AttorAey^ for Official Unsecured Creditors' Committee
APPROVED/DISAPPROVED:
BECKLEY SINGLETON CHIT).
BYt _______ ________ David McElhinney Attorneys for Raytheon company
APPROVED/DISAPPROVED:
OFFICE OF THE UNITED STATES TRUSTEE
BY:_________________ .
_
Nicholas Strozza
Assistant U.s. Trustee
Dated;
Reno, Nevada
July
2001
2529U.fl>WUm(iignt SIA
Honorable Gregg W. Zive United States Bankruptcy Judge
9
(MOM) 7. 2 01 '.3:26^ 13:13/NO. 4862784106 P 10
Bankruptcy Prcreedure, and the Local Rules o this Court. AFPROVZD/DISAPPROVED; MCDONALD CABANO WILSON MCCONE BERLIN FRANK0VICH k KICKS LLP
BY: _ Todd Dreaeel Attorneys for Official unsecured Creditors' Committee
APPROVED/DISAPPROVED: BECKLEY SINGLETON CHTD.
APPROVED / DISAPPROVED: OFFTCE OF THE UNITED STATES TRUSTEE
Nicholas Strozza Assistant U.S. Trustee
Doted:
Reno, Nevada July___ 2001
Honorable Gregg W, zive United States Bankruptcy Judge
9
rn'siAmi>.JUirs.SM\i.mmMiJ^m LLF ' (WED) 6. 27'Cl 19:03/^8:50/NO. 4862762:70 F ;0
Bankruptcy Procedure, and the Local Rules of this Court.
APPROVED/DISAPPROVED;
MCDONALD CARANO WILSON MCCONE BERGIN FRANKOVICH & HICKS LLP
Todd Dressel Attorneys for official unsecured Creditors' Committee
APPROVED/DI3APPR0VED:
BECKLEY SINGLETON CHTD,
BY: _
_
David McElhinney
Attorneys for Raytheon Company
*
APPROVED /MSftPPROVSD:
OFFICE OF THE UNITED STATES TRUSTEE
BY; ~Ni cho 1 etsstrt
Assistant U.S. Trustee
Dated:
Reno, Nevada June __ , 2001
Honorable Gregg w. Ziv United States Bankruptcy Judge
9
EXHIBIT
1
2
3 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF NEVADA
4
5
6
In re 7
8 WASHINGTON GROUP
INTERNATIONAL, INC., et al. ,
9 Debtors.
10
Case No. BK-N-01-31627 Chapter 11
Joint administration with Cases BK-N-01-31626 through BK-N-01-31697
11
12 ________________________________ /
13 NOTICE OF BAR DATE AND PROCEDURES FOR
14 FILING PROOFS OF CLAIM
15 THIS IS AN IMPORTANT NOTICE THAT MAY AFFECT YOUR
16 LEGAL RIGHTS. PLEASE READ IT CAREFULLY.
17 YOU ARE HEREBY NOTIFIED THAT:
18 1. The last day for filing proofs of claim in 19 these bankruptcy cases is August 27, 2001.
20 2. If you are a creditor who is required to file a
proof of claim and you do not so by the above
21 date, you will not be allowed to participate in
any distributions made in these bankruptcy
22 cases.
23 3. Even if you file a proof of claim, you may not
24 be entitled to vote on any reorganization plan unless you also file a motion with the Court.
25
26 The above is merely a summary of the provisions of this Notice. Please read the attached pages carefully.
27
28
CA T.
1
2
3 TO ALL PERSONS ASSERTING A CLAIM AGAINST ANY OF THE
4 DEBTORS IN THE ABOVE-CAPTIONED CASES:
5
6 PLEASE TAKE NOTICE that on July ___, 2001, the United
States Bankruptcy Court for the District of Nevada (the 7 "Court") entered an order fixing August 27, 2001 (the
"General Bar Date") as the last date for the filing of
8 claims in the chapter 11 cases filed by companies listed in
Exhibit A attached to this Notice (collectively, the 9 "Debtors").
10 The General Bar Date and the procedures set forth
below for filing proofs of claim apply to all Claims
11 against the Debtors that arose on or before May 14, 2001,
the date that the Debtors filed their Chapter 11 Cases,
12 except for certain categories described below.
13
1. WHAT CONSTITUTES A CLAIM.
The term "Claim"
14 encompasses just about any right to receive payment. The United States Bankruptcy Code defines a "Claim" as follows:
15 a (A) right to payment, whether or not such right is
16 reduced to judgment, liquidated, unliquidated, fixed, contingent, matured, unmatured, disputed, undisputed,
17 legal, equitable, secured, or unsecured; or (B) right
to an equitable remedy for breach of performance if 18 such breach gives rise to a right to payment, whether
or not such right to an equitable remedy is reduced to 19 judgment, fixed, contingent, matured, unmatured,
disputed, undisputed, secured or unsecured.
20
21 The types of claims that are subject to this Order include
secured claims, claims entitled to priority under the
22 Bankruptcy Code, claims that are remote or contingent, and
claims that were not liquidated in amount or that had not
23 yet matured on the May 14, 2001 filing date of the Chapter 11 cases.
24 2. WHO MUST FILE A PROOF OF CLAIM. YOU MUST FILE A
25 PROOF OF CLAIM if you have a Claim against any Debtor and
want to share in any distribution in the Chapter 11 cases, 26 unless you fall into one of the categories listed below in
Paragraphs 3 or 4. 27
28
LIONEL SAWYER a COLLINS
ATTORNEYS AT LAW 1 IOO BANK OF AMERICA
PLAZA SO WEST LIBERTY ST.
RENO, Nevada SSSOI I77S 7RR.flAAA
2
1
2
3 3. WHO MAY FILE A PROOF OF CLAIM, BUT IS NOT
REQUIRED TO. YOU MAY, BUT ARE NOT REQUIRED TO, FILE A
4 PROOF OF CLAIM if the amount and the classification of your
Claim are listed correctly on the ''Schedules,1' (defined 5 below) and your claim is not labeled as "contingent,"
"unliquidated," or "disputed," on the Schedules.
On
6 June 29, 2001, the Debtors filed schedules of liabilities
(r*
with the Court (the "Schedules"). Those Schedules list each Claim that the Debtors believe will be asserted
8 against them, the amount of such Claim, and the classifica tion of such Claim (e.g., secured, priority, unsecured).
9 If the Debtors dispute the amount asserted against them or believe that the amount or liability on such claim is
10 uncertain or not fixed in amount, they labeled the claim as "disputed," "contingent," or "unliquidated." If your claim
11 is not so labeled, and you agree with the amount and
classification of your Claim on the Schedules, then you may
12 file a proof of claim if you want to, but you are not
required to. 13
If you do not file a proof of claim, you will be 14 entitled to share in distributions in the Chapter 11 Cases
unless an objection is subsequently filed to your Claim or 15 the Debtors amend the Schedules. If the Debtors amend the
16 Schedules to change the amount or classification of your Claim, you will be given notice and the opportunity to file
17 a proof of claim.
18 4. WHO SHOULD NOT FILE A PROOF OF CLAIM. YOU SHOULD NOT FILE A PROOF OF CLAIM if:
19
(a) you have already properly filed a proof of 20 claim with the Court;
21 (b) the Court has already entered an order allowing your Claim;
22
23 (c) you have no Claim;
24 (d) your Claim previously has been paid or otherwise satisfied pursuant to an order of the Court;
25 (e) your Claim is the claim of a Debtor against
26 another Debtor; or
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28
LIONEL SAWYER & COLLINS
ATTORNEYS AT LAW 1 10O BANK OF AMERICA
PLAZA 50 WEST LIBERTY ST.
RENO, NEVADA 89501 /^^CE\ <70e_0fiAfi
(f) your Claim is on account of an ownership interest in or possession of equity securities {e.g., preferred stock, common stock) in one or more of the
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LIONEL SAWYER & COLLINS
ATTORNEYS AT LAW ] TOO BANK OF AMERICA
PLAZA SO WEST LIBERTY ST.
Reno, NEVADA 89501 (77RI 7S8-&6AA
Debtors, provided, however, that if you wish to assert a Claim against any of the Debtors based on transactions in the Debtors' securities, including but not limited to. Claims for damages or recission based on the purchase or sale of such securities, you must file a proof of claim on or prior to the General Bar Date.
5 . EXECUTORY CONTRACTS AND UNEXPIRED LEASES. Unless otherwise stated in any rejection order, holders of Claims against any Debtor arising from the rejection by a Debtor of an executory contract or unexpired lease must file a proof of claim for such claim before the later of (a) the General Bar Date or (b) 30 days after the effective rejection date of any executory contract or unexpired lease rejected by the Debtors pursuant an order of the Court issued upon notice to the other party to the contract or lease (the "Rejection Bar Date").
6. WHEN AND WHERE TO FILE. To be timely filed by the General Bar Date, a proof of claim must be RECEIVED no later than 5:00 p.m. (prevailing Pacific Time) on August 27, 2001, at the following address:
Washington Group International, Inc. Claims c/o Robert L. Berger & Associates, LLC 10351 Santa Monica Blvd., Suite 101A PMB 1007 Los Angeles, CA 90025
Proofs of claim filed by hand delivery or courier service must be delivered to the above-referenced address between the hours of 9:00 a.m. and 5:00 p.m. on regular business days. Proofs of claims may also be filed by facsimile transmission at: (818) 905-6542. If filed by facsimile, the original Proof of Claim must be promptly thereafter delivered to the above address.
7. WHAT TO FILE. Each proof of claim must be substantially in the form of Official Form No. 10, a copy of which is enclosed for your convenience. You should include all Claims against a single Debtor on a single proof of claim form. If you assert Claims against more than one of the Debtors, you MUST file a separate proof of claim form for each Debtor. You MUST NOT include Claims against multiple Debtors on a single proof of claim form. Each proof of claim form must specifically set forth the full name of the Debtor against whom the Claim is filed and the proper Chapter 11 case number of the Debtor.
4
3 Upon request and only with the Debtors' advance
written consent, you may file a proof of claim without
4 supporting documentation.
Such proof of claim should
include a summary of the supporting documentation that has
5 not been submitted.
6 8. FAILING TO FILE A PROOF OF CLAIM CAN HAVE
SERIOUS ADVERSE CONSEQUENCES. UNLESS YOUR CLAIM IS ONE OF 7 THE TYPES DESCRIBED IN PARAGRAPH 3 OR 4 ABOVE, YOU MUST
8 FILE A PROOF OF CLAIM ON OR BEFORE THE GENERAL BAR DATE OR:
9 1. YOU WILL NOT BE ENTITLED TO PARTICIPATE IN ANY
DISTRIBUTIONS MADE IN THE CHAPTER 11 CASES.
10 2 . YOU MAY NOT SEEK TO VOTE IN CONNECTION WITH ANY
PLAN OF REORGANIZATION FILED IN THE CHAPTER 11 11 CASES.
12 3 . YOU MAY NOT RECEIVE FURTHER NOTICES REGARDING
YOUR CLAIM.
13 9. FILING A PROOF OF CLAIM WILL NOT NECESSARILY
14 ENTITLE YOU TO VOTE ON A CHAPTER 11 PLAN. If your claim is
listed as "disputed, " "contingent," or "unliquidated" in 15 the Schedules, you will not be entitled to vote upon any
plan of reorganization merely by filing a proof of claim. 16 If you desire to vote upon any such plan, you must also
17 file a motion with the Court on or before August 15, 2001 seeking the temporary allowance of your claim for voting
18 purposes {"Voting Motion") and obtain an order of the Court granting you the right to vote. Failure to file a Voting
19 Motion will not affect your right to receive a distribution in these chapter 11 cases but only your right to vote on
SO any plan of reorganization.
21 If your claim is not listed as "disputed," "contin
gent," or "unliquidated" in the Schedules, then you are not
22 required to file a Voting Motion in order to obtain the
right to vote. 23
24
10.
ACCESS TO SCHEDULES.
The Schedules may be
viewed at the Debtors' website www.waint.com, or during
25 regular business hours, Monday through Friday, at the Office of the Clerk of the United States Bankruptcy Court
26 for the District of Nevada, Clifton Young Federal Building, 300 Booth Street, Reno, Nevada.
27
28
LIONEL SAWYER & COLUNS
ATTORNEYS AT LAW
1 too BANK OF AMERICA
PLAZA SO WEST LIBERTY ST.
Reno, Nevada 89501 /77R) 7MJMAA
5
1
2
11. FURTHER INFORMATION. Questions regarding procedures
3 for filing of proofs of claim may be directed in writing to Robert L. Berger & Associates, LLC, 10351 Santa Monica
4 Blvd., Suite 101A, PMB 1007, Los Angeles, CA 90025, Attn:
Washington Group International, Inc. Claims.
For your
5 convenience, a phone number, (818) 771-7469, has been
established to provide direction and answer common ques
6 tions regarding the procedures for filing proofs of claim.
7 BY ORDER OF THE COURT.
q DATED this ___ day of , 2001.
10 Jennifer A. Smith Etta L. Walker
11 LIONEL SAWYER & COLLINS
12 -and-
13 David S. Kurtz
Timothy R. Pohl 14 SKADDEN, ARPS, SLATE, MEAGHER
& FLOM (ILLINOIS) 15
and 16
Gregg M. Galardi Eric M. Davis SKADDEN, ARPS, SLATE,
& FLOM LLP
MEAGHER
19 Attorneys for the Debtors
20 and Debtors-in-Possession
21
22
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25
26
27
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LIONEL SAWYER & COLLINS
ATTORNEYS AT LAW 1 lOO BANK OF AMERICA
PLAZA SO WEST LIBERTY ST.
RENO, NEVADA 89501
6
Debtors1
Names,
Exhibit A Federal Tax Identification Numbers Bankruptcy Case Numbers
and
BK-N 01-31627 GWZ WASHINGTON GROUP INTERNATIONAL, INC. fka MORRISON KNUDSEN CORP. fka WASHINGTON CONSTRUCTION GROUP, INC. fka KASLER HOLDING COMPANY 720 PARK BLVD BOISE, ID 83712
Debtors ' Names
MORRISON KNUDSEN LEASING CORPORATION WASHINGTON GROUP INTERNATIONAL, INC. (DELAWARE)
WASHINGTON GROUP INTERNATIONAL, INC. (OHIO) Also Doing Business As: Bendy Engineer ing Division; MK Centennial; MK-Ferguson Company; Washington Infrastructure Services; Black Canyon Constructors; H. K. Ferguson Company; Alameda Mid-Corri dor Constructors; Emkay Development; Kasler Construction; Raytheon Engineers <5 Constructors; Colorado Toll Services; MKK Constructors; Northwest Parkway Constructors; Florida Toll Services; Conda Mining; Washington Group Idaho; Inc.; MK/Traylor Bros., Inc.; FrontierKemper Construction, Inc.; Eight Mile Construction Managers; Big I Construc tors Company; MK Environmental Ser vices; MK-Ferguson; MK-Ferguson Group; An MK-Ferguson Division of Morrison Knudsen Corporation; M-K Company, Inc.; Morrison Knudsen Corporation (Opera tions); MK Environmental Services; Inc.; Morrison Knudsen Corporation.
RUST CONSTRUCTORS PUERTO RICO, INC.
WASHINGTON CONTRACTORS GROUP, INC.
WCG LEASING, INC.
INDUSTRIAL CONSTRUCTORS CORP.
MK CONSTRUCTION, INC.
NATIONAL PROJECTS, INC. Also Doing Business As: MKK Leasing, National Projects/Lundeen; ProBuilders Construction; NPI Construction Company
MORRISON KNUDSEN SERVICES, INC.
NATIONAL PROJECTS SOUTHWEST, INC.
WCG HOLDINGS, INC.
ASIA BADGER, INC.
BADGER ENERGY, INC.
BADGER MIDDLE EAST, INC.
CATALYTIC INDUSTRIAL MAINTENANCE CO., INC.
Tax I. D . 84-1395888 33-565601
34-0217470 82-0528869 81-0450712 81-0485402 81-0347631 88-0311920
82-0400724 82-0377046 82-0504195 81-0298535 04-2639156 04-2646514 04-2628748 23-1675213
Bankr. Case No. Case No. BK-N-01-31626 Case No. BK-N-01-31627
Case No. BK-N-01-31628 Case No. BK-N-01-31629 Case No. BK-N-01-31630 Case No. BK-N-01-31631 Case No. BK-N-01-31632 Case No. BK-N-01-31633
Case No. BK-N-01-31634 Case No. BK-N-01-31635 Case No. BK-N-01-31636 Case No. BK-N-01-31637 Case No. BK-N-01-31638 Case No. BK-N-01-31639 Case No. BK-N-01-31640 Case No. BK-N-01-31641
1
Debtors 1 Names
Tax I.D.
CF ENVIRONMENTAL CORPORATION
04-2693933
CIA. INTERNACIONAL DE INGENIERIA, S. A.
82-0314088
EBASCO INTERNATIONAL CORPORATION
22-2138506
ENERGY OVERSEAS INTERNATIONAL,INC ,
23-2055422
EMKAY CAPITAL INVESTMENTS, INC.
82-0407241
GULF DESIGN CORPORATION
04-2463160
JACKSON & MORELAND INTERNATIONAL, INC.
04-2261089
MCBRIDE-RATCLIFF AND ASSOCIATES, INC.
74-1871609
MK AVIATION SERVICES, INC.
82-0494761
MK CAPITAL COMPANY
82-0447939
MK-FERGUSON ENGINEERING COMPANY
34-0660541
MK-FERGUSON OF IDAHO COMPANY
82-0413800
MK-FERGUSON OF OAK RIDGE COMPANY
82-0438780
MK NEVADA LLC
Pending
MK TRAIN CONTROL, INC.
82-0468915
MORRISON-KNUDSEN COMPANY, INC.
82-0146120
MORRISON KNUDSEN CORPORATION OF VIETNAM
82-0488235
MORRISON-KNUDSEN ENGINEERS, INC.
94-1057028
WASHINGTON-CATALYTIC INC.
84-1004102
RAYTHEON CONSTRUCTORS INTERNATIONAL, INC.
04-3243921
BADGER AMERICA, INC.
04-2562028
HARBERT-YEARGIN INC.
84-0880124
RAYTHEON-EBASCO INDONESIA LTD.
04-2294620
RAYTHEON-EBASCO OVERSEAS LTD.
04-2852468
RAYTHEON ENGINEERING QUALITY SERVICES CORPORATION
23-2049504
RAYTHEON ENGINEERS & CONSTRUCTORS (ARUBA) LTD.
76-0423373
RAYTHEON ENGINEERS & CONSTRUCTORS (IRELAND)
LTD.
23-2089661
RAYTHEON ENGINEERS & CONSTRUCTORS LATIN AMERICA, INC.
51-0107212
RAYTHEON ENGINEERS & CONSTRUCTORS MIDDLE EAST LIMITED
84-0616816
RAYTHEON ENGINEERS & CONSTRUCTORS MIDWEST, INC .
52-1635140
RAYTHEON ENGINEERS & CONSTRUCTORS (PANAMA) LTD.
76-0417505
RAYTHEON ENGINEERS & CONSTRUCTORS (RUSSIA) LTD.
04-246-3303
RAYTHEON ENGINEERS & CONSTRUCTORS (TRINIDAD
AND TOBAGO) LTD.
76-0417323
RAYTHEON-EBASCO PAKISTAN LTD.
23-2680078
RAYTHEON NUCLEAR INC.
23-2123722
Bankr. Case No. Case No. BK-N-01-31642 Case No. BK-N-01-31643 Case No. BK-N-01-31644 Case No. BK-N-01-31645 Case No. BK-N-01-31646 Case No. BK-N-01-31647 Case No. BK-N-01-31648 Case No. BK-N-01-31649 Case No. BK-N-01-31650 Case No. BK-N-01-31651 Case No. BK-N-01-31652 Case No. BK-N-01-31653 Case No. BK-N-01-31654 Case No. BK-N-01-31655 Case No. BK-N-01-31656 Case No. BK-N-01-31657 Case No. BK-N-01-31658 Case No. BK-N-01-31659 Case No. BK-N-01-31660 Case No. BK-N-01-31661 Case No. BK-N-01-31662 Case No. BK-N-01-31663 Case No. BK-N-01-31664 Case No. BK-N-01-31665
Case No. BK-N-01-31666
Case No. BK-N-01-31667
Case No. BK-N-01-31668 Case No. BK-N-01-31669
Case No. BK-N-01-31670
Case No. BK-N-01-31671
Case No. BK-N-01-31672
Case No. BK-N-01-31673
Case No. BK-N-01-31674 Case No. BK-N-01-31675 Case No. BK-N-01-3167 6
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Debtors' Names
RAYTHEON QUALITY INSPECTION COMPANY
SPECIALTY TECHNICAL SERVICES, INC. STEARNS CATALYTIC CORPORATION
UNITED ENGINEERS FAR EAST LTD.
UNITED ENGINEERS INTERNATIONAL, INC.
UNITED MID-EAST, INC.
WASHINGTON ARCHITECTS, LLC
WASHINGTON CONSTRUCTION CORPORATION Also Doing Business As: Washington Con struction Co.; MK Heavy Civil; Washing ton Construction of Montana; Washington Constructors, Inc.
POMEROY CORPORATION
RUST CONSTRUCTORS, INC.
WASHINGTON DEMILITARIZATION COMPANY
WASHINGTON ELECTRICAL, INC.
WASHINGTON INFRASTRUCTURE SERVICES, INC. Also Doing Business As: Denver Transit Alliance; MK Centennial; Hill/MK Joint Venture; MK/ Centennial Engineering, Inc.; Centennial; MK/CEI; Centennial Civil Engineers, Inc.
WASHINGTON INTERNATIONAL, LLC
WASHINGTON INTERNATIONAL, INC. Also Doing Business As: International Engineering Company, Inc.
WASHINGTON OHIO SERVICES, LLC
WASHINGTON QUALITY PROGRAMS COMPANY
YAMPA MINING CO.
HOC HOLDING, INC.
RAYTHEON ARCHITECTS, LTD.
RAYTHEON ENGINEERS & CONSTRUCTORS MIDWEST, LLC
NOTE: Certain of the Debtors' Affiliates, including Westinghouse Government Services Company LLC, and its subsidiaries, are not Debtors in these Cases.
Tax I.D. 23-6658356 23-2457597 84-0880120 51-0123472 23-2021974 51-0123488 23-3005775
81-0371380 33-0140352 13-2740970 23-2695901 82-0496261
84-0676527 23-1680871
82-0441351 82-0528103 95-2931379 82-0342614 95-3291975 84-0604451
52-1635140
Bankr. Case No. Case No. BK-N-01-31677 Case No. BK-N-01-31678 Case No. BK-N-01-31679 Case No. BK-N-01-31680 Case No. BK-N-01-31681 Case No. BK-N-01-31682 Case No. BK-N-01-31683
Case No. BK-N-01-31684 Case No. BK-N-01-31685 Case No. BK-N-01-31686 Case No. BK-N-01-31687 Case No. BK-N-01-31688
Case No. BK-N-01-31689 Case No. BK-N-01-31690
Case No. BK-N-01-31691 Case No. BK-N-01-316 92 Case No. BK-N-01-31693 Case No. BK-N-01-31694 Case No. BK-N-01-31696 Case No. BK-N-01-31695
Case No. BK-N-01-31697
252934.02-Wiltnington SIA
3