1. NOTICE OF HEARING ON DEBTORS’ MOTION FOR ORDER
      2. PURSUANT TO FED. R. BANKR. P. 9006(b) EXTENDING PERIOD
      3. WITHIN WHICH DEBTORS MAY REMOVE ACTIONS PURSUANT
      4. Your rights may be affected. You should read these papers carefully and discuss
      5. website being maintained exclusively for these chapter 11 cases at
      6. www.kccllc.com/keystone.

RECE
WED
CLERK’S
OFFICE
IN THE UNITED STATES BANKRUPTCY COURT
MAY
¶3200k
FOR THE EASTERN DISTRICT OF WISCONSIN
STATE
OF ILLINOIS
Pollution
Control Board
In re:
)
Chapter
11
‘1
FV Steel and Wire Company, et
~
)
Case No.
04-22421-SVK
~\
01
)
)
(JointlyAdministered)
Debtors.
)
)
Hearing Date:
May
17, 2004 at 11:00
)
a.m.CDT
____________________________________________________________________)
NOTICE OF HEARING ON DEBTORS’ MOTION FOR ORDER
PURSUANT TO FED. R. BANKR. P. 9006(b) EXTENDING PERIOD
WITHIN WHICH DEBTORS MAY REMOVE ACTIONS PURSUANT
TO 28 U.S.C. ~ 1452 AND FED. R.
BANKR.
P. 9027
PLEASE TAKE NOTICE
that FV
Steel and Wire Company, Keystone Consolidated
Industries, Inc. and four of their direct and indirect affiliates, the debtors and debtors in
possession (collectively, the “Debtors”), by their attorneys, filed aMotion forOrder Pursuant to
I
The Debtors are the followingentities: FV Steel and WireCompany, Keystone Consolidated Industries, Inc.,
DeSoto
Environmental Management, Inc., J.L.
Prescott Company, Sherman Wire Company tlk/a DeSoto,
Inc.,
and Sherman Wire ofCaidwell,
Inc.
Bruce (1. Arnold, Esq.
Daryl
L.
Diesing, Esq.
Patrick B. Howell, Esq.
WHYTE HIRSCHBOECK DUDEK S.C.
555
East
Wells
Street, Suite
1900
Milwaukee, Wisconsin
53202-38 19
Telephone:
(414) 273-2100
Facsimile:
(414) 223-5000
Contact Person:
barnold~3whdlaw.com
-and-
David
L.
Eaton
(ARDC
No.
IL 3122303)
Anne M.
Huber
(ARDC
No.
IL 6226828)
Ryan
S.
Nadick
(ARDC
No.
IL 6256438)
Tasneem
K.
Goodman
(ARDC
No.
IL 6277779)
KIRKLAND &
ELLIS
LLP
200 East
Randolph Drive
Chicago,
IL 60601-6636
Telephone:
(312) 861-2000
Facsimile:
(312) 861-2200
Contact Person:
deaton(~kirkland.com

Fed. R. Bankr. P.
9006(b) Extending Period Within Which Debtors May Remove Actions
Pursuant to 28 U.S.C.
~ 1452
and
Fed.
R. Bankr. P.
9027 with the United States Bankruptcy
Court for the Eastern District ofWisconsin, (the “Court”) on April 27, 2004.
A copy ofthe
Notice of Motion
and
Motion were served on all interested parties on April 27, 2004.
On May 12,
2004, the Independent Steel Workers’ Alliance filed an Objection to
Debtors’ Motion for Order Pursuant to Fed. R.
Bankr. P. 9006(b) Extending Period Within
Which Debtors May Remove Actions Pursuant to 28 U.S.C.
§
1452 and Fed. R.
Bankr. P. 9027
(“Objection”) and requested that a hearing be held on the Motion.
Your rights
may be affected.
You should
read these papers carefully and discuss
themwith your attorney, if you have one. (Ifyou do not have an attorney, you may wish to
consult one.)
The Motion and the Objection referenced herein, as well as other general
information about these proceedings, are available
for download free ofcharge from the
website being maintained exclusively for these chapter 11
cases at
www.kccllc.com/keystone.
If
you
do not want the Court to
grant
the relief
sought in this Motion,
or
if you want the
Court to
consider your views on this Motion, then you or your attorney must:
Attend the hearing on the Motion referenced above scheduled to be held on
May 17, 2004, at 11:00 a.m. Central Daylight Time, before the Honorable
Susan V. Kelley in
Room 149,
United States Bankruptcy Court for the
Eastern District ofWisconsin, 517 East Wisconsin Avenue, Milwaukee,
Wisconsin 53202.
PLEASE
TAKE
FURTHER
NOTICE
that
interested
parties
may
attend
the
hearing
telephonically if the following conditions
are
met:
The party requesting permission
to
attend the hearing telephonically must be
an
interested party
(the
“Requesting party”), that
is
such Requesting
Party’s
rights
must be affected or potentially affected by the matters to
be heard at the hearing;
MKE1936553.1
2

The Requesting Party must reside outside of Milwaukee
County, Wisconsin and
demonstrate
that
attending
the hearing
in
person would
cause
such
Requesting
Party personal hardship;
The
Requesting
Party
must
make their request
(the
“Telephonic
Request”)
to
attend
the
hearing
telephonically to
Kurtzman Carson
Consultants (“KCC”)
so
that the Telephonic Request is received by KCC at least forty-eight hours prior to
the
scheduled
hearing
date
either
(i)
in
writing
to
Keystone
Consolidated
Industries,
mc,
do
Kurtzman &
Carson
LLC,
Attn:
Matthew
Mendia,
12910
Culver
Boulevard,
Suite I,
Los
Angeles,
CA
90066-6709
or (ii)
electronically
through KCC’s website at www.kccllc.netlkeystone by clicking on the “submit an
inquiry” box located near the top ofthe website;
The
Telephonic
Request
must
include
(i)
the
Requesting
Party’s
telephone
number and e-mail
address, if any, (ii) the Requesting
Party’s relationship to the
Debtors’ chapter
11
cases,
(iii)
the reason for the
Requesting Party’s inability to
attend
the
hearing in
person, and
(iv) the
Court
filing
or matter
on
which
the
Requesting Party seeks to be heard;
If the preceding conditions are satisfied, KCC will
forward the Requesting Party
the dial in information to attend the hearingtelephonically;
Requesting
Parties
will
not
be
permitted
to
examine
any
witnesses
or
offer
evidence;
Under
no
circumstances
may
any
Requesting
Party
record
or
broadcast
the
proceedings conducted by the Court; and
If any Requesting Party is unable to abide by the foregoing procedure or has any
questions related thereto, such Requesting Party maycontact KCC at 310-823-9000 ext. 502.
If you or your attorney do not attend the hearing on May 17, 2004, the Court maydecide
that you
do not oppose the relief sought in the Motion and may enter an order granting that relief.
MKE1936553.1
3

Dated: May
~
2004
Milwaukee, Wisconsin
Respectfully submitted,
Bruce G. Arnold,
~
Daryl L. Diesing, Esq.
Patrick B. Howell, Esq.
555
East Wells Street, Suite
1900
Milwaukee, Wisconsin 53202-3819
Telephone:
(414) 273-2100
Facsimile:
(414) 223-5000
-and-
KIRKLAND & ELLIS LLP
David
L. Eaton, Esq. (ARDC No. IL 3122303)
Anne M. Huber, Esq. (ARDC No. IL 6226828)
Ryan S. Nadick, Esq. (ARDC No. IL 6256438)
Tasneem K. Goodman, Esq. (ARDC No. IL 6277779)
200 East Randolph Drive
Chicago, Illinois 60601-6636
Telephone:
(312) 861-2000
Facsimile:
(312) 861-2200
MKE1936553.
I
4

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