363 motion

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The seminal case is In re Lionel, 722 F2d 1063. Cite this case (and probably In re Chrysler LLC, 130 S.Ct. 1015 for good measure), lay out the facts, attach your evidence and make your argument.
Wesley H. Avery
Wesley H. Avery, Esq.
Roquemore, Pringle & Moore, Inc.
6055 E. Washington Blvd., Ste. 500
Los Angeles, CA 90040-2466
wavery@rpmlaw.com
http://www.rpmlaw.com
(323) 724-3117 (office)
(323) 724-5410 (fax)
Law Offices of Wesley H. Avery, APC
28005 Smyth Drive, Ste. 125
Valencia, CA 91355-4023

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Thanks. To clarify: 363 asset sale (other than in the ordinary course of
business) in a chapter 11 case.
On Thu, Feb 7, 2013 at 5:15 PM, Larry Simons wrote:
> **
>
>
> My attorneys just filed one on my behalf in case number 6:12-26614****
>
> ** **
>
> *From:* cdcbaa@yahoogroups.com [mailto:cdcbaa@yahoogroups.com] *On Behalf
> Of *Kirk Brennan
> *Sent:* Thursday, February 07, 2013 5:14 PM
> *To:* Cdcbaa Yahoo Listserv
> *Subject:* [cdcbaa] 363 motion****
>
> ** **
>
> ****
>
> Anyone willing to share a case number of a case involving a 363 motion?***
> *
>
> Thanks,
> ****
>
>
> --
> Kirk Brennan, esq.
> California Law Office, P.C.
> www.calibankruptcysite.com
>
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> Revenue Code. The firm provides reliance opinions only in formal opinion
> letters containing the signature of a director. ****
>
> ****
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>
>
Kirk Brennan, esq.
California Law Office, P.C.
www.calibankruptcysite.com
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TAX ADVICE NOTICE: Tax advice, if any, contained in this e-mail does not
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Revenue Code. The firm provides reliance opinions only in formal opinion
letters containing the signature of a director.
Thanks. To clarify: 363 asset sale (other than in the ordinary course of business) in a chapter 11 case.On Thu, Feb 7, 2013 at 5:15 PM, Larry Simons <larry@lsimonslaw.com> wrote:
My attorneys just filed one on my behalf in case number 6:12-26614
From: cdcbaa@yahoogroups.com [mailto:cdcbaa@yahoogroups.com]
On Behalf Of Kirk Brennan
Sent: Thursday, February 07, 2013 5:14 PM
To: Cdcbaa Yahoo Listserv
Subject: [cdcbaa] 363 motion
Anyone willing to share a case number of a case involving a 363 motion?
Thanks,
Kirk Brennan, esq.
California Law Office, P.C.
www.calibankruptcysite.com
CONFIDENTIALITY NOTICE: This e-mail and any attachments are for the exclusive and confidential use of the intended recipient. If you are not the intended recipient, please do not read, distribute or take action in reliance on this message. If you have received
this message in error, please notify us immediately by return e-mail and promptly delete this message and its attachments from your computer system. We do not waive attorney-client or work product privilege by the transmission of this message.
TAX ADVICE NOTICE: Tax advice, if any, contained in this e-mail does not constitute a "reliance opinion" as defined in IRS Circular 230 and may not be used to establish reasonable reliance on the opinion of counsel for the purpose of avoiding the penalty imposed
by Section 6662A of the Internal Revenue Code. The firm provides reliance opinions only in formal opinion letters containing the signature of a director.
-- Kirk Brennan, esq.California Law Office, P.C.www.calibankruptcysite.comCONFIDENTIALITY NOTICE: This e-mail and any attachments are for the exclusive and confidential use of the intended recipient. If you are not the intended recipient, please do not read, distribute or take action in reliance on this message. If you have received this message in error, please notify us immediately by return e-mail and promptly delete this message and its attachments from your computer system. We do not waive attorney-client or work product privilege by the transmission of this message.
TAX ADVICE NOTICE: Tax advice, if any, contained in this e-mail does not constitute a "reliance opinion" as defined in IRS Circular 230 and may not be used to establish reasonable reliance on the opinion of counsel for the purpose of avoiding the penalty imposed by Section 6662A of the Internal Revenue Code. The firm provides reliance opinions only in formal opinion letters containing the signature of a director.

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My attorneys just filed one on my behalf in case number 6:12-26614

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Anyone willing to share a case number of a case involving a 363 motion?
Thanks,
Kirk Brennan, esq.
California Law Office, P.C.
www.calibankruptcysite.com
CONFIDENTIALITY NOTICE: This e-mail and any attachments are for the
exclusive and confidential use of the intended recipient. If you are not
the intended recipient, please do not read, distribute or take action in
reliance on this message. If you have received this message in error,
please notify us immediately by return e-mail and promptly delete this
message and its attachments from your computer system. We do not waive
attorney-client or work product privilege by the transmission of this
message.
TAX ADVICE NOTICE: Tax advice, if any, contained in this e-mail does not
constitute a "reliance opinion" as defined in IRS Circular 230 and may not
be used to establish reasonable reliance on the opinion of counsel for the
purpose of avoiding the penalty imposed by Section 6662A of the Internal
Revenue Code. The firm provides reliance opinions only in formal opinion
letters containing the signature of a director.
Anyone willing to share a case number of a case involving a 363 motion?Thanks,-- Kirk Brennan, esq.California Law Office, P.C.www.calibankruptcysite.com
CONFIDENTIALITY NOTICE: This e-mail and any attachments are for the exclusive and confidential use of the intended recipient. If you are not the intended recipient, please do not read, distribute or take action in reliance on this message. If you have received this message in error, please notify us immediately by return e-mail and promptly delete this message and its attachments from your computer system. We do not waive attorney-client or work product privilege by the transmission of this message.
TAX ADVICE NOTICE: Tax advice, if any, contained in this e-mail does not constitute a "reliance opinion" as defined in IRS Circular 230 and may not be used to establish reasonable reliance on the opinion of counsel for the purpose of avoiding the penalty imposed by Section 6662A of the Internal Revenue Code. The firm provides reliance opinions only in formal opinion letters containing the signature of a director.

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