Delaware | 1-14287 | 52-2107911 |
(State or other jurisdiction of incorporation) | (Commission File Number) | (I.R.S. Employer Identification No.) |
o | Written communications pursuant to Rule 425 under the Securities Act (17 CFR 230.425) |
o | Soliciting material pursuant to Rule 14a-12 under the Exchange Act (17 CFR 240.14a-12) |
o | Pre-commencement communications pursuant to Rule 14d-2(b) under the Exchange Act (17 CFR 240.14d-2(b)) |
o | Pre-commencement communications pursuant to Rule 13e-4(c) under the Exchange Act (17 CFR 240.13e-4(c)) |
99.1 | Monthly Operating Report for the month of September 2014 filed with the United States Bankruptcy Court for the District of Delaware. |
Centrus Energy Corp. | |||
October 31, 2014 | By: | /s/ John C. Barpoulis | |
John C. Barpoulis | |||
Senior Vice President and Chief Financial Officer | |||
(Principal Financial Officer) |
Number | Description |
99.1 | Monthly Operating Report for the month of September 2014 filed with the United States Bankruptcy Court for the District of Delaware. |
EXHIBIT 99.1 | ||||
UNITED STATES BANKRUPTCY COURT | ||||
FOR THE DISTRICT OF DELAWARE | ||||
In re USEC Inc. | ||||
Case No. | 14-10475 (CSS) | |||
Reporting Period: | 29-Sep-14 | |||
Federal Tax I.D. # | 52-2107911 | |||
CORPORATE MONTHLY OPERATING REPORT | ||||
File with the Court and submit a copy to the United States Trustee within 30 days after the end of | ||||
the month and submit a copy of the report to any official committee appointed in the case. | ||||
REQUIRED DOCUMENTS | Form No. | Document Attached | Explanation Attached | |
Schedule of Cash Receipts and Disbursements | MOR-1a | x | ||
Bank Account Information | MOR-1b | x | ||
Copies of bank statements (See Notes to the MOR) | x | |||
Cash disbursements journals (See Notes to the MOR) | x | |||
Statement of Operations (Income Statement) | MOR-2 | x | ||
Balance Sheet | MOR-3 | x | ||
Status of Post-petition Taxes | MOR-4 | x | ||
Copies of IRS Form 6123 or payment receipt (See Notes to the MOR) | x | |||
Copies of tax returns filed during reporting period (See Notes to the MOR) | x | |||
Summary of Unpaid Post-petition Debts | MOR-4 | x | ||
Listing of Aged Accounts Payable (See Notes to the MOR) | x | |||
Accounts Receivable Reconciliation and Aging | MOR-5 | x | ||
Payments to Professionals | MOR-6 | x | ||
Post Petition Secured Notes Adequate Protection Payments | MOR-6 | x | ||
Debtor Questionnaire | MOR-7 | x | ||
I declare under penalty of perjury (28 U.S.C. Section 1746) that this report and the attached documents | ||||
are true and correct to the best of my knowledge and belief. | ||||
/s/ John R. Castellano | October 31, 2014 | |||
Signature of Authorized Individual* | Date | |||
John R. Castellano | ||||
Printed Name of Authorized Individual | ||||
Chief Restructuring Officer | ||||
Title | ||||
*Authorized individual must be an officer, director or shareholder if debtor is a corporation; a partner if | ||||
debtor is a partnership; a manager or member if debtor is a limited liability company. |
MOR NOTES | |||
In re USEC Inc. | |||
Case No. | 14-10475 (CSS) | ||
Reporting Period: | 29-Sep-14 | ||
Federal Tax I.D. # | 52-2107911 | ||
Notes to the Monthly Operating Report | |||
GENERAL: | |||
The report includes activity from the following Debtor: | |||
Debtor | Case Number | ||
USEC Inc. | 14-10475 (CSS) | ||
Notes to MOR-1a: | |||
The period covered in this report, unless otherwise noted, ends September 29th (the last day prior to the Effective Date). | |||
As such, no Plan of Reorganization consummation transactions (such as payment of pre-petition liabilities) are shown. | |||
Cash disbursements shown are based on a book basis which consider a disbursement made when a check is | |||
issued, as opposed to when a check is presented for payment. | |||
Cash amounts do not include interest on the DIP Loan, which is accrued to the outstanding DIP Loan balance. | |||
Notes to MOR-1b: | |||
All amounts listed represent the bank balances as of September 29th (the last day prior to the consummation of the Plan). | |||
Copies of the bank statements and cash disbursement journals were not included with the MOR but are available | |||
upon request. | |||
Notes to MOR-2/3: | |||
The Income Statement shown on MOR-2 and Balance Sheet shown on MOR-3 cover activity through September 29th | |||
(the last day prior to the Effective Date) and as such exclude reorganization-related items such as relief of debt. | |||
The cash amount shown on MOR-3 varies from the bank cash balance shown on MOR-1b due to deposits in transit. | |||
The unaudited condensed financial statements as of and for the one month ended September 29, 2014 have been | |||
prepared in accordance with generally accepted accounting principles in the United States (“GAAP”). Certain | |||
information and notes normally included in financial statements prepared in accordance with GAAP have been | |||
omitted. The unaudited condensed financial statements reflect all adjustments which are, in the opinion of management, | |||
necessary for a fair statement of the financial results for the interim period. | |||
The Income Statement reflects revenue and expenses that directly correspond to the debtor legal entity, USEC Inc., | |||
and does not include non-debtor affiliates and subsidiaries. | |||
The Balance Sheet shows the amounts immediately prior to consummation of the Plan of Reorganization. | |||
The Balance Sheet reflect assets, liabilities, and stockholders equity that directly correspond to the debtor legal entity, | |||
USEC Inc., and does not include non-debtor affiliates and subsidiaries. |
MOR NOTES | |||
In re USEC Inc. | |||
Case No. | 14-10475 (CSS) | ||
Reporting Period: | 29-Sep-14 | ||
Federal Tax I.D. # | 52-2107911 | ||
Notes to the Monthly Operating Report | |||
Notes to MOR-4: | |||
The tax accrual, payments and ending liabilities reflect the period through September 30th and thus may include | |||
post-emergence activity. | |||
USEC Inc. received an order which allows the payment of pre-petition taxes. The tax walkforward will reflect | |||
both pre-petition and post-petition taxes. | |||
USEC Inc. does not expect to be required to make any federal or state income tax payments. | |||
USEC Inc. files tax returns and makes tax payments periodically. The tax returns and related payments will be made | |||
available upon request. | |||
USEC Inc. is current on all post petition payments other than disputes that arise in the ordinary course of business | |||
and amounts expected to be but not yet authorized for payment by the Bankruptcy Court. | |||
Due to the volume of activity the detailed listing of aged post petition payables is not included. | |||
The post petition accounts payable reported represent open and outstanding trade vendor invoices that have been | |||
entered into the Debtor's accounts payable system and does not include accruals for invoices not yet received or approved. | |||
Notes to MOR-5: | |||
Accounts receivable represents amounts due from Oak Ridge National Laboratory for the American Centrifuge | |||
Demonstration and Operation (ACTDO) agreement. | |||
Notes to MOR-6: | |||
Interest on the Debtor-in-Possession (DIP) Facility and Secured Intercompany Loan are accrued to the loan balance | |||
and do not result in a cash payment. | |||
Notes to MOR-7: | |||
USEC Inc. has received orders that allow payment of certain pre-petition liabilities such as employee benefits | |||
and employee expense reimbursement. | |||
The DIP Lender is the Debtor's non-debtor affiliate, United States Enrichment Corporation subsidiary. | |||
Funding was provided under the DIP during the month (amount shown on Schedule MOR-1a). | |||
In September 2014, the Debtor made property tax payments to the City of Oak Ridge based on property reported | |||
on assessment dates in the pre-petition period. |
MOR-1a | ||||
In re USEC Inc. | ||||
Case No. | 14-10475 (CSS) | |||
Reporting Period: | 29-Sep-14 | |||
Federal Tax I.D. # | 52-2107911 | |||
Schedule of Cash Receipts and Disbursements | ||||
(000's) | ||||
TIME PERIOD: | ||||
9/1/2014 - 9/29/2014 | ||||
Debtor | Activity | Amounts | ||
USEC Inc. | Beginning Total Cash (Bank Balance) | $7,998 | ||
Less: Outstanding Checks & Bank Adjustments | (702 | ) | ||
Beginning Total Cash (Book Balance) | $7,296 | |||
Receipts | ||||
DOE RD&D Reimbursement | — | |||
ORNL ACTDO Receipts | 6,742 | |||
Asset Proceeds | — | |||
Other Receipts | 4,085 | |||
Total Operating Receipts | 10,827 | |||
Disbursements (book basis) | ||||
Headquarters Payroll & Benefits | (3,295 | ) | ||
Headquarters Overhead | (680 | ) | ||
Headquarters Outside Services | (154 | ) | ||
ACP Payroll & Benefits | (2,912 | ) | ||
ACP Machine Technology & Operations | (1,565 | ) | ||
ACP Manufacturing, EPC and PETE | (5,464 | ) | ||
Total Operating Disbursements | (14,069 | ) | ||
Non-Operating Items: | ||||
Professional Fees | (632 | ) | ||
Interest | — | |||
Other (Utility Deposit) | — | |||
Total Non-Operating Disbursements | (632 | ) | ||
Total Disbursements | (14,700 | ) | ||
Funding Activities: | ||||
Cash funding provided by draws on DIP: | 8,000 | |||
Cash payments on DIP | (10,826 | ) | ||
Cash payments on Pre-Petition Secured Loan | — | |||
Total Funding Activities | (2,826 | ) | ||
Total Change in Cash | (6,699 | ) | ||
Ending Cash (Book Balance) | 597 | |||
Plus: Bank Adjustment, Timing & Bank Interest | — | |||
Plus: Outstanding Checks | 677 | |||
Ending Cash (Bank Balance) | 1,275 |
MOR-1b | |||
In re USEC Inc. | |||
Case No. | 14-10475 (CSS) | ||
Reporting Period: | 29-Sep-14 | ||
Federal Tax I.D. # | 52-2107911 | ||
Bank Account Information | |||
(000's) | |||
Legal Entity | Bank | Bank Account | Bank Balance |
USEC Inc. | JP Morgan Chase | XX6272 | $1,050 |
USEC Inc. | JP Morgan Chase | XX5349 | $0 |
USEC Inc. | JP Morgan Chase | XX4574 | $0 |
USEC Inc. | JP Morgan Chase | XX6241 | $175 |
USEC Inc. | JP Morgan Chase | XX7309 | $0 |
USEC Inc. | Merrill Lynch | XX3365 | $0 |
USEC Inc. | JP Morgan Chase | XX2733 | $50 |
Total USEC Bank Account Balances, per statements | $1,275 |
MOR-2 | |||||
In re USEC Inc. | |||||
Case No. | 14-10475 (CSS) | ||||
Reporting Period: | 29-Sep-14 | ||||
Federal Tax I.D. # | 52-2107911 | ||||
Statement of Operations (Income Statement) | |||||
(000's) | |||||
The Statement of Operations is to be prepared on an accrual basis. The accrual basis of accounting recognizes | |||||
revenue when it is realized and expenses when they are incurred, regardless of when cash is actually received or paid. | |||||
USEC Inc. | |||||
14-10475 (CSS) | |||||
Revenue | |||||
Separative Work Units | — | ||||
Uranium | — | ||||
U. S. Government Contracts and Other | 6,742 | ||||
Revenue | 6,742 | ||||
Cost of Sales | |||||
Separative Work Units | |||||
Production Costs | — | ||||
Purchase Costs | — | ||||
Change in Inventory | — | ||||
Non Production Pension Expense | — | ||||
— | |||||
ARO Accretion Expense | — | ||||
Uranium | — | ||||
U. S. Government Contracts and Other | 5,398 | ||||
Cost of Sales | 5,398 | ||||
Gross Profit | |||||
Separative Work Units | — | ||||
Uranium | — | ||||
U. S. Government Contracts and Other | 1,344 | ||||
Gross Profit | 1,344 | ||||
Gross Margin % | — | ||||
Special Charges | (1,832 | ) | |||
Advanced Technology Costs | 5,023 | ||||
Selling, General and Administrative | 3,452 | ||||
Other (Income) Expense, Net | 74 | ||||
Intercompany Cost Recovery | (3,732 | ) | |||
Operating Income (Loss) | (1,641 | ) | |||
Interest Expense | 6,667 | ||||
Preferred Stock Financing Costs | — | ||||
Interest (Income) | (3 | ) | |||
Reorganization Costs | 1,345 | ||||
Income (Loss) from Continuing Ops before Taxes | (9,650 | ) | |||
Provision (benefit) for Income Taxes | — | ||||
Net Income (Loss) | (9,650 | ) | |||
Equity in earnings (Loss) of non-filing entities | 3,166 | ||||
NET INCOME (LOSS) ATTRIBUTABLE TO USEC INC. | (6,484 | ) |
MOR-3 | ||||||
In re USEC Inc. | ||||||
Case No. | 14-10475 (CSS) | |||||
Reporting Period: | 29-Sep-14 | |||||
Federal Tax I.D. # | 52-2107911 | |||||
Balance Sheet | ||||||
(000's) | ||||||
The Balance Sheet is to be completed on an accrual basis only. Pre-petition liabilities must be classified separately from post-petition obligations. | ||||||
USEC Inc. | ||||||
14-10475 (CSS) | ||||||
ASSETS | LIABILITIES & STOCKHOLDERS' EQUITY | |||||
CURRENT ASSETS | CURRENT LIABILITIES | |||||
Cash and cash equivalents | 1,900 | Short-term debt (DIP) | 13,200 | |||
Short-term investments | — | Accounts payable and accrued liabilities | 23,800 | |||
Accounts receivable | Total Current Liabilities | 37,000 | ||||
Customers | — | |||||
ORNL/DOE | 6,700 | OTHER LIABILITIES | ||||
Total Receivables | 6,700 | Postretirement health and life benefit obligations | — | |||
Inventories | Pension benefit liabilities | 23,900 | ||||
Separative work units | — | Deferred revenue and advances | — | |||
Uranium | — | Other liabilities | 24,400 | |||
Uranium provided by customers | — | Total Other Liabilities | 48,300 | |||
Materials & Supplies | 200 | |||||
Total Inventories | 200 | LIABILITIES SUBJECT TO COMPROMISE | 1,001,300 | |||
Deferred Costs Related to Deferred Revenue | — | TOTAL LIABILITIES | 1,086,600 | |||
Receivable from non-filing entity | — | |||||
Other | 11,300 | STOCKHOLDERS' EQUITY | ||||
Total Current Assets | 20,100 | Common stock, par value $.10 per share | 500 | |||
Excess of capital over par value | 153,900 | |||||
PROPERTY, PLANT AND EQUIPMENT | Treasury stock | (38,800 | ) | |||
Construction work in progress | — | Accumulated other comprehensive income (Loss) | (70,400 | ) | ||
Leasehold improvements | 1,700 | Equity in Subsidiary | 472,900 | |||
Machinery & equipment | 8,400 | Retained earnings | (1,080,200 | ) | ||
10,100 | Total Stockholders' Equity | (562,100 | ) | |||
Less: Accumulated depreciation & amortization | (8,600 | ) | ||||
Property, Plant and Equipment, Net | 1,500 | TOTAL LIABILITIES & | ||||
STOCKHOLDERS' EQUITY | 524,500 | |||||
OTHER ASSETS | ||||||
Investment in non-filing entity | 473,500 | |||||
Deposit for surety bonds | 29,400 | |||||
Total Other Assets | 502,900 | |||||
TOTAL ASSETS | 524,500 | |||||
MOR-4 | ||||||||||||||||||
In re USEC Inc. | ||||||||||||||||||
Case No. | 14-10475 (CSS) | |||||||||||||||||
Reporting Period: | 29-Sep-14 | |||||||||||||||||
Federal Tax I.D. # | 52-2107911 | |||||||||||||||||
Status of Post-petition Taxes | ||||||||||||||||||
(000's) | ||||||||||||||||||
USEC Inc. | Beginning Tax Liability | Amount Withheld or Accrued | Amount Paid | Ending Tax Liability | ||||||||||||||
Federal Taxes | ||||||||||||||||||
Withholding | $ | — | $ | 548 | $ | (548 | ) | $ | — | |||||||||
FICA-Employee | — | 206 | (206 | ) | — | |||||||||||||
FICA-Employer | 763 | 137 | (201 | ) | 699 | |||||||||||||
Unemployment | 6 | — | — | 6 | ||||||||||||||
Income | — | — | — | — | ||||||||||||||
Other: | — | — | — | — | ||||||||||||||
Total Federal | $ | 769 | $ | 891 | $ | (955 | ) | $ | 705 | |||||||||
State & Local | ||||||||||||||||||
Withholding | $ | 10 | $ | 118 | $ | (115 | ) | $ | 13 | |||||||||
Unemployment | — | — | — | — | ||||||||||||||
Sales | (1 | ) | 23 | (23 | ) | (1 | ) | |||||||||||
Excise | — | — | — | — | ||||||||||||||
Real Property | — | — | — | — | ||||||||||||||
Personal Property | — | — | — | — | ||||||||||||||
Other: Income | (19 | ) | — | — | (19 | ) | ||||||||||||
Other: Gross Receipts | 21 | 11 | — | 32 | ||||||||||||||
Other: Franchise | 12 | 15 | — | 27 | ||||||||||||||
Total State and Local | $ | 23 | $ | 167 | $ | (138 | ) | $ | 52 | |||||||||
TOTAL Taxes | $ | 792 | $ | 1,058 | $ | (1,093 | ) | $ | 757 | |||||||||
Summary of Unpaid Post-petition Debts (See Notes to the MOR) | ||||||||||||||||||
(000's) | ||||||||||||||||||
Days Past Due | ||||||||||||||||||
Current | 1-30 | 31-60 | 61-90 | >91 | Total | |||||||||||||
USEC Inc. | $ | 633 | $ | 52 | $ | 208 | $ | — | $ | (2 | ) | $ | 891 |
MOR-5 | ||||||
In re USEC Inc. | ||||||
Case No. | 14-10475 (CSS) | |||||
Reporting Period: | 29-Sep-14 | |||||
Federal Tax I.D. # | 52-2107911 | |||||
Accounts Receivable Reconciliation and Aging (See Notes to the MOR) | ||||||
(000's) | ||||||
ACCOUNTS RECEIVABLE RECONCILIATION AND AGING | ||||||
Accounts Receivable Reconciliation | Amount | |||||
Total Accounts Receivable (Net) at the beginning of the reporting period | $6,797 | |||||
+ Amounts billed during the period | 6,742 | |||||
- Amounts collected during the period | (6,742 | ) | ||||
Total Accounts Receivable (Net) at the end of the reporting period | $6,797 | |||||
Accounts Receivable Aging | Amount | |||||
Current | $6,797 | |||||
0 - 30 days old | $0 | |||||
31 - 60 days old | $0 | |||||
61 - 90 days old | $0 | |||||
91+ days old | $0 | |||||
Total Accounts Receivable | $6,797 | |||||
Contractual Allowance / Uncollectible | $0 | |||||
Accounts Receivable (Net) | $6,797 |
MOR-6 | ||||||||||
In re USEC Inc. | ||||||||||
Case No. | 14-10475 (CSS) | |||||||||
Reporting Period: | 29-Sep-14 | |||||||||
Federal Tax I.D. # | 52-2107911 | |||||||||
Payments to Professionals | ||||||||||
Professionals | ||||||||||
Name | Amount Paid During Month | Total Paid to Date | ||||||||
AKIN GUMP STRAUSS HAUER AND FELD LLP | $ | — | $ | 663,271 | ||||||
HOULIHAN LOKEY CAPITAL INC | 150,312 | 901,552 | ||||||||
LOGAN AND CO INC | 49,672 | 271,451 | ||||||||
BABCOCK & WILCOX (Reimbursement for EA Advisors & Baker Botts) | — | 602,239 | ||||||||
TOSHIBA AMERICA NUCLEAR ENERGY CORP (Reimbursement for GLC & Morrison Foerster) | — | 325,851 | ||||||||
US TRUSTEE | — | 40,400 | ||||||||
AP SERVICES LLP | — | 1,857,670 | ||||||||
LATHAM & WATKINS LLP | 271,465 | 1,299,463 | ||||||||
RICHARDS LAYTON & FINGER | — | 204,925 | ||||||||
YOUNG CONAWAY STARGATT AND TAYLOR LLP | — | 486,848 | ||||||||
LAZARD FRERES AND CO LLC | 160,060 | 681,587 | ||||||||
PRICEWATERHOUSECOOPERS LLP | — | 334,885 | ||||||||
KPMG LLP | — | 59,286 | ||||||||
MORRISON AND FOERSTER LLP | — | 69,175 | ||||||||
MORRIS NICHOLS ARSHT AND TUNNELL LLP | — | 13,824 | ||||||||
GLC ADVISORS AND CO LLC | — | 304,971 | ||||||||
Total Payments to Professionals | $ | 631,509 | $ | 8,117,400 | ||||||
Post Petition Secured Notes Adequate Protection Payments | ||||||||||
Name of Creditor | Amount Paid During Month | |||||||||
United States Enrichment Corporation - DIP1 | $ | 164,535 | ||||||||
United States Enrichment Corporation - Secured Intercompany1 | 472,117 | |||||||||
Total Payments | $ | 636,652 | ||||||||
(1) Interest on the DIP and Secured Intercompany Loan is charged to the loan and is not a cash payment |
MOR-7 | |||
In re USEC Inc. | |||
Case No. | 14-10475 (CSS) | ||
Reporting Period: | 29-Sep-14 | ||
Federal Tax I.D. # | 52-2107911 | ||
Debtor Questionnaire | |||
Must be completed each month. If the answer to any of the questions is “Yes”, provide a detailed explanation of each item. Attach additional sheets if necessary. | Yes | No | |
1 | Have any assets been sold or transferred outside the normal course of business this reporting period? | X | |
2 | Have any funds been disbursed from any account other than a debtor in possession account this reporting period? | X | |
3 | Is the Debtor delinquent in the timely filing of any post-petition tax returns? | X | |
4 | Are workers compensation, general liability or other necessary insurance coverages expired or cancelled, or has the debtor received notice of expiration or cancellation of such policies? | X | |
5 | Is the Debtor delinquent in paying any insurance premium payment? | X | |
6 | Have any payments been made on pre-petition liabilities this reporting period? | X | |
7 | Are any post petition receivables (accounts, notes or loans) due from related parties? | X | |
8 | Are any post petition payroll taxes past due? | X | |
9 | Are any post petition State or Federal income taxes past due? | X | |
10 | Are any post petition real estate taxes past due? | X | |
11 | Are any other post petition taxes past due? | X | |
12 | Have any pre-petition taxes been paid during this reporting period? | X | |
13 | Are any amounts owed to post petition creditors delinquent? | X | |
14 | Are any wage payments past due? | X | |
15 | Have any post petition loans been been received by the Debtor from any party? | X | |
16 | Is the Debtor delinquent in paying any U.S. Trustee fees? | X | |
17 | Is the Debtor delinquent with any court ordered payments to attorneys or other professionals? | X | |
18 | Have the owners or shareholders received any compensation outside of the normal course of business? | X |