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1.63 "Face Amount" means(a) when used in reference to a Disputed Claim, the full stated amount claimed by the <br /> holder thereof in any proof of Claim timely filed with the Bankruptcy Court,and (b) when used in reference to an Allowed <br /> Claim,the allowed amount thereof. <br /> 1.64 "Final Order" means an order or judgment,entered by a court of competent jurisdiction. that has not been <br /> amended,modified,or reversed, and as to which (i) no stay is in effect, (ii)the time to seek rehearing or file a notice of appeal <br /> has expired,and(iii)no appeal or request for a stay or other review is pending. <br /> 1.65 "General Unsecured Claim" means an unsecured Claim that is not entitled to prionry under section 507 of the <br /> Bankruptcy Code. <br /> 1.66 "GWI" means GWI.Inc., a Delaware corporation. <br /> 1.67 "GWI Warehouse" means that certain property and improvements, including a warehouse, located at 2326 Bell <br /> Avenue, Des Moines.Iowa,owned by GWI. <br /> 1.68 "GWI Warehouse Proceeds" means the cash consideration received from the sale of the GWI Warehouse, less any <br /> costs associated with the sale. <br /> 1.69 "Indemnified Person" shall have the meaning ascribed to such term in Article V Section A of the Plan. <br /> 1.70 "Indenture Trustee" means each of United States Trust Company of New York or its successor,in either case in its <br /> capacity as indenture trustee for the SFC Bonds, 121/a%Senior Notes, 111/4%Senior Notes, 13%Discount Debentures,and <br /> 11%Discount Debentures,and U.S.Trust Company of Texas,N.A.or its successor,in either case in its capacity as indenture <br /> trustee for the 13x/4%Subordinated Notes,and"Indenture Trustees"mean all of them collectively. <br /> 1.71 "Intercompany Claim" means any Claim by a Debtor against another Debtor. <br /> 1.72 "Interest" means the legal,equitable,contractual and other rights of any Person with respect to any Equity <br /> Securities. <br /> 1.73 "Lien" means a security interest in Collateral. <br /> 1.74 "Limited Releases" shall have the meaning ascribed to such term in Article XII Section B of the Plan. <br /> 1.75 "Litigation Claim" means any Disputed Claim against any Debtor that is the subject of litigation pending on the <br /> Petition Date. <br /> 1.76 "Lockup Agreement" means that certain "Plan Settlement and Lock-Up Agreement." dated as of June 9,2000: by <br /> and among the Debtors,the Unofficial Committees,and certain holders of Existing Securities. The Lockup Agreement is <br /> Exhibit B to the Disclosure Statement. <br /> 1.77 "MA Holdings" means MA Holdings.LLC.a Delaware limited liability corporation and a Non-Debtor Subsidiary. <br /> 1.78 "Metz Escrow" means the escrow account established in connection with the Debtors'sale of the Metz Baking <br /> Company to The Earthgrains Company. <br /> 1.79 "Metz Escrow Recovery" means any amount returned to SFC-NH from the Metz Escrow. <br /> 1.80 "Net Cash Proceeds"means the sum of: (a) the Cookie Business Sale Proceeds,(b)the GWI Warehouse Proceeds <br /> remaining(if any)after payment in full of Allowed Class 16 and Class 17 Claims,(c)all Cash or Cash equivalents held by the <br /> Debtors on the day immediately preceding the Effective Date,(d)Escrow Recoveries,if any,(e)the Stella Foods Litigation <br /> Recovery,if any,and(f)the net proceeds realized from the liquidation of Other Assets,less the sum of(i)the Specialty Bread <br /> Business Operating Funds,if any,(ii)any amounts necessary to pay the Class 9 Minimum Recovery,(iii)all amounts <br /> PLAN-5 <br />