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Case 08-12229-MFW Doc 11604 Filed 02/03/14 Page of 3 Date Filed: 2/3/2014 Docket1#11604 UNITED STATES BANKRUPTCY COURT DISTRICT OF DELAWARE ---------------------------------------------------------------x : In re : : WASHINGTON MUTUAL, INC., et al.,1 : : Debtors. : : : ---------------------------------------------------------------x Chapter 11 Case No. 08-12229 (MFW) (Jointly Administered) Re: Docket No. 11546 CERTIFICATION OF COUNSEL REGARDING ORDER APPROVING STIPULATION AND AGREEMENT EXTENDING THE PERIOD IN WHICH CALIFORNIA FRANCHISE TAX BOARD MUST RESPOND TO WMI LIQUIDATING TRUST’S (A) OBJECTION TO PROOF OF CLAIM FILED BY CALIFORNIA FRANCHISE TAX BOARD (CLAIM NO. 3908) AND (B) MOTION FOR DETERMINATION OF TAX LIABILITY UNDER SECTION 505 OF THE BANKRUPTCY CODE The undersigned hereby certifies as follows: 1. On December 31, 2013, WMI Liquidating Trust (“WMILT”), as successor in interest to Washington Mutual, Inc. (“WMI”) and WMI Investment Corp., formerly debtors and debtors in possession filed WMI Liquidating Trust’s (A) Objection to Proof of Claim Filed by California Franchise Tax Board (Claim No. 3908) and (B) Motion for Determination of Tax Liability Under Section 505 of the Bankruptcy Code [D.I. 11546] (the “California Objection”), seeking (a) to reduce and allow proof of claim number 3908 (the “California Claim”) filed by the California Franchise Tax Board (“FTB,” and together with WMILT, the “Parties”) in the approximate amount of $24 million, excluding interest, and (b) a determination that WMI and certain of its affiliates overpaid their California income tax liability by approximately $441 million, excluding interest, with a response deadline of February 3, 2014 at 4:00 p.m. 1 The Debtors in these chapter 11 cases along with the last four digits of each Debtor’s federal tax identification number are: (i) Washington Mutual, Inc. (3725); and (ii) WMI Investment Corp. (5395). The RLF1 9788684v.1 RLF1 9872483V.1 ¨0¤q6=."# !"« 0812229140203000000000001 Case 08-12229-MFW 2. Doc 11604 Filed 02/03/14 Page 2 of 3 The Parties continue to engage in good-faith arms’ length negotiations with respect to the California Objection and the validity and amount of the California Claim and, in order to allow such negotiations to proceed, have determined to extend the response deadline with respect to the California Objection to March 5, 2014 at 4:00 p.m. (ET) in accordance with the terms contained in the Stipulation and Agreement Extending the Period in Which California Franchise Tax Board Must Respond to WMI Liquidating Trust’s (A) Objection to Proof of Claim Filed by California Franchise Tax Board (Claim No. 3908) and (B) Motion for Determination of Tax Liability Under Section 505 of the Bankruptcy Code, copy of which is attached as Exhibit 1 to the proposed form of order (the “Proposed Order”) attached hereto as Exhibit A. WHEREFORE WMILT respectfully requests that the Court enter the Proposed Order at its earliest convenience. principal offices of WMILT, as defined herein, are located at 1201 Third Avenue, Suite 3000, Seattle, Washington 98101. 2 RLF1 9788684v.1 RLF1 9872483V.1 Case 08-12229-MFW Doc 11604 Filed 02/03/14 Page 3 of 3 Dated: February 3, 2014 Wilmington, Delaware /s/ Amanda R. Steele Mark D. Collins (No. 2981) Paul N. Heath (No. 3704) Amanda R. Steele (No. 5530) RICHARDS, LAYTON & FINGER, P.A. One Rodney Square 920 North King Street Wilmington, Delaware 19801 Telephone: (302) 651-7700 Facsimile: (302) 651-7701 – and – Brian S. Rosen, Esq. WEIL, GOTSHAL & MANGES LLP 767 Fifth Avenue New York, New York 10153 Telephone: (212) 310-8000 Facsimile: (212) 310-8007 Attorneys to the WMI Liquidating Trust 3 RLF1 9788684v.1 RLF1 9872483V.1 Case 08-12229-MFW Doc 11604-1 Filed 02/03/14 Exhibit A (Proposed Order) RLF1 9788684v.1 RLF1 9872483V.1 Page 1 of 10 Case 08-12229-MFW Doc 11604-1 Filed 02/03/14 Page 2 of 10 UNITED STATES BANKRUPTCY COURT DISTRICT OF DELAWARE ---------------------------------------------------------------x : In re : : WASHINGTON MUTUAL, INC., et al.,1 : : Debtors. : : ---------------------------------------------------------------x Chapter 11 Case No. 08-12229 (MFW) (Jointly Administered) Re: Docket Nos. 11546 &______ ORDER APPROVING STIPULATION AND AGREEMENT EXTENDING THE PERIOD IN WHICH CALIFORNIA FRANCHISE TAX BOARD MUST RESPOND TO WMI LIQUIDATING TRUST’S (A) OBJECTION TO PROOF OF CLAIM FILED BY CALIFORNIA FRANCHISE TAX BOARD (CLAIM NO. 3908) AND (B) MOTION FOR DETERMINATION OF TAX LIABILITY UNDER SECTION 505 OF THE BANKRUPTCY CODE WMI Liquidating Trust (“WMILT”), as successor in interest to Washington Mutual, Inc. and WMI Investment Corp., formerly debtors and debtors in possession, and California Franchise Tax Board (“FTB,” and together with WMILT, the “Parties”), having entered into that certain Stipulation and Agreement Extending the Period in Which California Franchise Tax Board Must Respond to WMI Liquidating Trust’s (A) Objection to Proof of Claim Filed by California Franchise Tax Board (Claim No. 3908) and (B) Motion for Determination of Tax Liability Under Section 505 of the Bankruptcy Code (the “Stipulation”); and the Court having reviewed the Stipulation; and the Court having determined that good cause has been demonstrated for approving the Stipulation; it is hereby ORDERED that the Stipulation attached hereto as Exhibit 1 is approved; and it is further 1 The Debtors in these chapter 11 cases along with the last four digits of each Debtor’s federal tax identification number are: (i) Washington Mutual, Inc. (3725); and (ii) WMI Investment Corp. (5395). The principal offices of WMILT, as defined herein, are located at 1201 Third Avenue, Suite 3000, Seattle, Washington 98101. RLF1 9788684v.1 RLF1 9872483V.1 Case 08-12229-MFW Doc 11604-1 Filed 02/03/14 Page 3 of 10 ORDERED that the Parties are hereby authorized to take any and all actions reasonably necessary to effectuate the terms of the Stipulation; and it is further ORDERED that this Court shall retain jurisdiction to hear and determine all matters arising from or related to the implementation, interpretation, or enforcement of this Order. Dated: February , 2014 Wilmington, Delaware THE HONORABLE MARY F. WALRATH UNITED STATES BANKRUPTCY JUDGE 2 RLF1 9788684v.1 RLF1 9872483V.1 Case 08-12229-MFW Doc 11604-1 Filed 02/03/14 EXHIBIT 1 (Stipulation) RLF1 9788684v.1 RLF1 9872483V.1 Page 4 of 10 Case 08-12229-MFW Doc 11604-1 Filed 02/03/14 Page 5 of 10 UNITED STATES BANKRUPTCY COURT DISTRICT OF DELAWARE ---------------------------------------------------------------x : In re : : WASHINGTON MUTUAL, INC., et al.,1 : : Debtors. : : ---------------------------------------------------------------x Chapter 11 Case No. 08-12229 (MFW) (Jointly Administered) STIPULATION AND AGREEMENT EXTENDING THE PERIOD IN WHICH CALIFORNIA FRANCHISE TAX BOARD MUST RESPOND TO WMI LIQUIDATING TRUST’S (A) OBJECTION TO PROOF OF CLAIM FILED BY CALIFORNIA FRANCHISE TAX BOARD (CLAIM NO. 3908) AND (B) MOTION FOR DETERMINATION OF TAX LIABILITY UNDER SECTION 505 OF THE BANKRUPTCY CODE WMI Liquidating Trust (“WMILT”), as successor in interest to Washington Mutual, Inc. (“WMI”) and WMI Investment Corp., formerly debtors and debtors in possession (collectively, the “Debtors”), and California Franchise Tax Board (“FTB,” and together with WMILT, the “Parties”), by and through their respective counsel, hereby enter into this stipulation and agreement (the “Stipulation”), and stipulate as follows: RECITALS A. On September 26, 2008, each of the Debtors filed a voluntary petition for relief under chapter 11 of title 11 of the United States Code (the “Bankruptcy Code”) in the United States Bankruptcy Court for the District of Delaware (the “Court”). B. On December 12, 2011, the Debtors filed their Seventh Amended Joint Plan of Affiliated Debtors Pursuant to Chapter 11 of the United States Bankruptcy Code 1 The Debtors in these chapter 11 cases along with the last four digits of each Debtor’s federal tax identification number are: (i) Washington Mutual, Inc. (3725); and (ii) WMI Investment Corp. (5395). The principal offices of WMILT, as defined herein, are located at 1201 Third Avenue, Suite 3000, Seattle, Washington 98101. RLF1 9872460V.1 Case 08-12229-MFW Doc 11604-1 Filed 02/03/14 Page 6 of 10 [D.I. 9178] (as modified, the “Plan”). By order, dated February 23, 2012 [D.I. 9759] (the “Confirmation Order”), the Court confirmed the Plan and, upon satisfaction or waiver of the conditions described in the Plan, the transactions contemplated by the Plan were substantially consummated on March 19, 2012 [D.I. 9933]. C. On March 26, 2009, FTB filed a proof of claim, Claim No. 2093, against WMI in the amount of $2,479,959,945.00, asserting amounts for taxes, penalties, and interest owed for the taxable years from 1994 through 2008.2 D. On May 26, 2010, FTB filed a proof of claim, Claim No. 3845, which amended and superseded Claim No. 2093, in the amount of $267,378,281.00, asserting amounts for taxes, penalties, and interest owed for the taxable years from 1997 through 2008. By order, dated August 9, 2010 [D.I. 5245], the Court granted the Debtors’ Forty-Fifth Omnibus (NonSubstantive) Objection to Claims and disallowed Claim No. 2093, on the basis that it had been amended and superseded by Claim No. 3845. E. On September 2, 2010, FTB filed a proof of claim, which claim was assigned claim number 3908 (the “California Claim”), amending and superseding Claim No. 3845, in the amount of $280,519,148.00, again asserting amounts for taxes, penalties, and interest owed for the taxable years from 1997 through 2008. By order, dated October 21, 2010 [D.I. 5656], the Bankruptcy Court granted the Debtors’ Forty- Ninth Omnibus (Non-Substantive) Objection to Claims and disallowed Claim No. 3845, on the basis that it had been amended and superseded by the California Claim. 2 A duplicate of this claim was filed shortly thereafter, and assigned claim number 3621 for administrative purposes. By order, dated August 10, 2009 [D.I. 1465], the Court granted the Debtors’ Fourth Omnibus (Non-Substantive) Objection to Claims and disallowed such claim, on the basis that it was duplicative of Claim No. 2093. RLF1 9872460V.1 2 Case 08-12229-MFW F. Doc 11604-1 Filed 02/03/14 Page 7 of 10 Pursuant to Section 26.1 of the Plan, WMILT was required to file and serve all objections to Claims no later than September 17, 2012 (the “Claim Objection Deadline”), or such later date if approved by the Bankruptcy Court. G. On September 14, 2012, and June 7, 2013 (collectively, the “Stipulation Extensions”), respectively, WMILT and FTB entered into that certain Stipulation Extending Time to Object to Proof of Claim Filed By California Franchise Tax Board (Claim No. 3908), and that certain Second Stipulation Extending Time to Object to Proof of Claim Filed By California Franchise Tax Board (Claim No. 3908), (1) extending the Claim Objection Deadline until December 31, 2013, while the parties engaged in negotiations in an effort to resolve the California Claim consensually, and (2) providing that WMILT would submit a notice to FTB sixty (60) days prior to filing an objection to the California Claim. By orders, dated September 17, 2012, and June 19, 2013, the Bankruptcy Court approved the Stipulation Extensions. H. By letter, dated October 1, 2013, WMILT informed FTB of its intention to file an objection to the California Claim. I. On December 31, 2013, WMILT filed WMI Liquidating Trust’s (A) Objection to Proof of Claim Filed by California Franchise Tax Board (Claim No. 3908) and (B) Motion for Determination of Tax Liability Under Section 505 of the Bankruptcy Code [D.I. 11546] (the “California Objection”), seeking (a) to reduce and allow the California Claim in the approximate amount of $24 million, excluding interest, and (b) a determination that WMI and certain of its affiliates overpaid their California income tax liability by approximately $441 million, excluding interest, with a response deadline of February 3, 2014 at 4:00 p.m. RLF1 9872460V.1 3 Case 08-12229-MFW J. Doc 11604-1 Filed 02/03/14 Page 8 of 10 On January 17, 2014, duly authorized representatives of the Parties, including, without limitation, the Chief Financial Officer of WMILT and FTB’s Assistant Chief Counsel (Litigation Bureau), held a meeting (the “January 17 Meeting”) for the express purpose of engaging in substantive discussions regarding a consensual resolution of the California Claim and the California Objection. K. The Parties continue to engage in good-faith arms’ length negotiations with respect to the California Objection and the validity and amount of the California Claim and, in order to allow such negotiations to proceed, have determined to extend the response deadline with respect to the California Objection to the extent and in accordance with the terms contained herein. NOW, THEREFORE, IT IS HEREBY AGREED BY AND BETWEEN THE PARTIES, BY AND THROUGH THEIR RESPECTIVE COUNSEL, AS FOLLOWS: 1. This Stipulation shall be binding upon the Parties and effective as of the date of execution. 2. Without the need for execution of any other agreement, document or instrument, the period in which FTB must respond to the California Objection is extended until March 5, 2014 at 4:00 p.m. (ET) (the “Revised Response Deadline”). 3. Unless otherwise extended, in writing, by both Parties, FTB shall file with the Bankruptcy Court and serve upon WMILT its response, if any, to the California Objection and the relief requested therein so as to be received by the Revised Response Deadline. 4. In consideration for WMILT agreeing to the Revised Response Deadline, FTB agrees to the following: (a) to seriously consider the substance of the analyses and valuations presented by WMILT at the January 17 Meeting, (b) FTB shall provide WMILT with an offer to resolve the dispute in its entirety by no later than January 31, 2014, and (c) in RLF1 9872460V.1 4 Case 08-12229-MFW Doc 11604-1 Filed 02/03/14 Page 9 of 10 connection with the foregoing settlement offer, FTB shall consider the time value of funds as part of the offer to be submitted to WMILT. 5. In the event that a consensual settlement is reached with respect to the California Claim and the California Objection, FTB shall (a) include within that settlement an allowance to reimburse WMILT for its reasonable costs and expenses incurred in preparing and filing the California Objection, and (b) utilize its best efforts to perform all obligations to be performed by FTB so as to consummate that settlement no later than April 30, 2014. 6. This Stipulation contains the entire agreement between the Parties as to the subject matter hereof and supersedes all prior agreements and undertakings between the Parties relating thereto. 7. Each person who executes this Stipulation represents that he or she is duly authorized to execute this Stipulation on behalf of the respective Parties hereto for the purpose of binding such Party to the terms of this Stipulation, and that each such Party has full knowledge and has consented to this Stipulation. 8. This Stipulation may not be modified other than by a signed writing executed by the Parties hereto or by further order of this Court, after notice to each of the Parties hereto. 9. The Stipulation may be executed in multiple counterparts, each of which shall be deemed an original but all of which together shall constitute one and the same instrument, and it shall constitute sufficient proof of the Stipulation to present any copy, copies, electronic copies, or facsimile signed by the Parties hereto to be charged. 10. The Stipulation shall be binding upon, and inure to the benefit of, the successors and assigns of the Parties hereto. RLF1 9872460V.1 5 Case 08-12229-MFW 11. Doc 11604-1 Filed 02/03/14 Page 10 of 10 The Court shall have sole and exclusive jurisdiction to hear disputes arising out of or related to this Stipulation. Dated: January 31, 2014 WMI LIQUIDATING TRUST CALIFORNIA FRANCHISE TAX BOARD JOZEL BRUNETT, CHIEF COUNSEL By: /s/ Amanda R. Steele Mark D. Collins, Esq. (No. 2981) Paul N. Heath (No. 3704) Amanda R. Steele (No. 5530) RICHARDS, LAYTON & FINGER, P.A. One Rodney Square 920 North King Street Wilmington, DE 19801 Telephone: (302) 651-7700 Facsimile: (302) 651-7701 By: /s/ Willaim C. Hilson, Jr. for Todd M. Bailey, Esq. Tax Counsel IV California Franchise Tax Board Legal Division – MS A260 PO Box 1720 Rancho Cordova, California 95741-1720 Telephone: (916) 845-6340 Facsimile: (916) 855-5607 Attorney to California FTB – and – Brian S. Rosen, Esq. WEIL, GOTSHAL & MANGES LLP 757 Fifth Avenue New York, NY 10153 Telephone: (212) 310-8000 Facsimile: (212) 310-8007 Attorneys to WMILT RLF1 9872460V.1 6