Seven Three Distilling Co., LLC, In re

Fees for legal work performed by a law firm during the "gap" period did not qualify forpriority treatment as the work did not arise in the ordinary course of a debtor's business.(Bankr. E.D. La.)
Involuntary Cases; Continued Operation of Debtor's Business.
ABI Membership is required to access the full summary of Seven Three Distilling Co., LLC, In re. Please sign in if you are already an ABI member, or otherwise you may Become an ABI Member
Commercial case opionion summary, case decided on August 24,2022, LexisNexis #1022-071