Thereafter, on or about December 19, 2017, the CDC Liquidation Trust terminated.As a result, there will be no further distributions from the CDC Liquidation Trust.KCC does not undertake any obligation to update, modify, revise or reorganize the information provided herein, or to notify you or any third party should the information be updated, modified, revised or reorganized.In no event shall KCC be liable to you or any third party for any direct, indirect, incidental, consequential or special damages (including, but not limited to, damages arising from the disallowance of a potential claim against a client of KCC or damages to business reputation, lost business or lost profits), whether foreseeable or unforeseeable and however caused, even if KCC is advised of the possibility of such damages.________________________________________ FEDERAL INCOME TAX CONSEQUENCES The “Disclosure Statement” filed with the Bankruptcy Court on July 3, 2012 (Docket No.476) includes a detailed discussion of the tax consequences of the Plan and the CDC Liquidation Trust in Article IX entitled “Tax Consequences of the Plan, and Disclaimer”, see Disclosure Statement, pp. The tax discussion below in Questions 2 through 5 is taken in substantial part from Article IX of the Disclosure Statement.KCC's Corporate Restructuring Court Documents Search provides access to thousands of historical court documents located on KCC public access websites.Please use the form below to refine and maximize search results.
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The “Disclosure Statement” filed with the Bankruptcy Court on July 3, 2012, included a “Liquidation and Distribution Analysis” as of May 1, 2012.
Based on certain assumptions and estimated valuations, it was estimated therein that the range of distribution to holders of Allowed Equity Interests in Class 3A was approximately .01 to .10 per share.
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Yes, the first distribution to Beneficial Interest holders was made from the CDC Liquidation Trust on or about December 24, 2012.