Case 16-42529 Doc 576 Docket #0576 Filed: 05/24/2016 Filed 05/24/16 Entered 05/24/16 11:42:35 MainDate Document Pg 1 of 3 UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF MISSOURI EASTERN DIVISION In re: Peabody Energy Corporation, et al., Debtors.1 May 24, 2016 Case No. 16-42529-399 CHAPTER 11 Jointly Administered VERIFIED MOTION FOR ADMISSION PRO HAC VICE Pursuant to LR 2090(B)(1) of the United States Bankruptcy Court for the Eastern District of Missouri, and Rule 12.01(F) of the local rules of the United States District Court for the Eastern District of Missouri, I, Steven N. Cousins, move that Miguel F. Eaton be admitted pro hac vice to the bar of this Court for the purpose of representing Peabody Energy Corporation, and its debtor and debtor-in-possession affiliates, in the instant matter. In support of this motion, I submit the following information as required by Rule 12.01(F): 1 a. Full name of attorney seeking admission: Miguel F. Eaton b. Address and telephone number of attorney seeking admission: Jones Day 51 Louisiana Avenue, N.W. Washington, DC 20001-2113 Telephone: (202) 879-3939 c. Name of the firm or letterhead under which attorney seeking admission practices: Jones Day d. Name of the Law School attorney seeking admission attended and the date of graduation therefrom: Duke University School of Law (2006) The Debtors and their employer identification numbers are listed on Schedule 1 attached hereto. The addresses for each of the Debtors are set forth in the Debtors' chapter 11 petitions. ¨1¤`9=0%8 $!« 1642529160524000000000004 Case 16-42529 Doc 576 Filed 05/24/16 Entered 05/24/16 11:42:35 Pg 2 of 3 Main Document e. State and federal bars of which attorney seeking admission is a member, with dates of admission and registration numbers, if any: 1. District of Columbia (2008), (Bar No. 983157); 2. Maryland (2007), (Bar No. – Not Applicable); 3. United States Court of Appeals for Veterans Claims (2009), (Bar No. 11427) 4. United States District Court for the District of Maryland (2010), (Bar No. 29261); 5. United States District Court for the District of Columbia (2011), (Bar No. 983157); and 6. United States District Court for the Eastern District of Michigan (2013) (Bar No. – Not Applicable) f. Statement that attorney seeking admission is a member in good standing of all bars of which attorney is a member and that attorney is not under suspension or disbarment from any bar: Mr. Eaton affirms that he is a member in good standing of all the bars set forth above and is not currently under suspension or disbarment from any bar. g. Statement that attorney seeking admission does not reside in the Eastern District of Missouri, is not regularly employed in this District, and is not regularly engaged in the practice of law in this District: Mr. Eaton affirms that he does not reside in the Eastern District of Missouri, is not regularly employed by this District and is not regularly engaged in the practice of law in this District. Mr. Eaton attests under penalty of perjury to the truth and accuracy of the foregoing facts, and respectfully requests that this motion be granted and that he be admitted pro hac vice to the bar of this Court and be allowed to appear in the instant matter. 2 Case 16-42529 Doc 576 Filed 05/24/16 Entered 05/24/16 11:42:35 Pg 3 of 3 Dated: May 23, 2016 St. Louis, Missouri Main Document /s/ Miguel F. Eaton Miguel F. Eaton Respectfully submitted, /s/ Steven N. Cousins Steven N. Cousins, MO 30788 Susan K. Ehlers, MO 49855 Armstrong Teasdale LLP 7700 Forsyth Boulevard, Suite 1800 St. Louis, MO 63105 Telephone: (314) 621-5070 Facsimile: (314) 612-2239 Email: scousins@armstrongteasdale.com Email: sehlers@armstrongteasdale.com 3