THE BAR DATE IS OCTOBER 31, 2025, at 11:59 p.m. (prevailing Central Time) for all creditors including all governmental units other than the United States of America and its agencies​
​​PLEASE TAKE NOTICE THAT Matthew Brash of Newpoint Advisors Corporation, is the Receiver (“Receiver”) in that certain case styled SG Stonegate Asset Company I, LLC v. GSC Enterprises, Inc., et al., pending in the United States District Court for the Northern District of Illinois, Eastern Division (“Court”), Case No. 25-cv-7909 (“Case”).
On September 2, 2025, the Court entered an order (“Bar Date Order”) in the Case requiring all persons, entities and governmental units (except for the United States of America), who have or may have a Claim (defined below) against any of the Defendants in this Case that arose prior to July 15, 2025 (a “Pre-receivership Claim”), to file proof of such Pre-receivership Claim on or before October 31, 2025 (“Bar Date”) and assert such Pre-receivership Claims against the assets of the estate created by this receivership (“Receivership Estate”).
All persons, entities and governmental units (other than the United States of America) that hold a Pre-receivership Claim against Defendants must file a proof of claim with Newpoint Advisors Corporation (“Newpoint”) using the electronic proof of claim form (an “Electronic Proof of Claim”) available online at www.gscreceivershipclaims.com.
As used in the Bar Date Order and this Notice, the term “Claim” means and includes: (a) any right to payment, whether or not such right is reduced to judgment, liquidated, unliquidated, fixed, contingent, matured, unmatured, disputed, undisputed, legal, equitable, secured or unsecured, or (b) any right to an equitable remedy for breach of performance if such breach gives rise to the right of payment, whether or not such right to an equitable remedy is reduced to judgment, fixed, contingent, matured, unmatured, disputed, undisputed, secured or unsecured.
The Bar Date shall apply to each and every Pre-Receivership Claim asserted by a creditor of Defendants, except for: (a) a claim asserted by any person or entity that has already properly filed with the Court a proof of claim against the Receivership Estate; and (b) a claim asserted by any person or entity whose claim against Defendants has previously been allowed by order of the Court.
ANY PERSON, ENTITY OR GOVERNMENTAL UNIT THAT IS REQUIRED TO FILE A PROOF OF CLAIM ON OR BEFORE THE BAR DATE, BUT FAILS TO DO SO, WILL BE FOREVER BARRED, ESTOPPED AND ENJOINED FROM (A) ASSERTING ANY SUCH CLAIM AGAINST DEFENDANTS AND THE RECEIVERSHIP ESTATE AND (B) RECEIVING A DISTRIBUTION FROM THE RECEIVERSHIP ESTATE.
To be timely, all Electronic Proofs of Claim must be filed with and RECEIVED by Newpoint before 11:59 p.m. prevailing Central Time on OCTOBER 31, 2025. ELECTRONIC PROOFS OF CLAIM WILL BE DEEMED FILED ONLY WHEN ACTUALLY RECEIVED BY NEWPOINT. Any proofs of claim sent by personal delivery, messenger, U.S. mail, facsimile, email submission or any other method will not be accepted by Newpoint.
IF YOU HAVE ALREADY PROPERLY FILED A PROOF OF CLAIM WITH THE COURT, YOU ARE NOT REQUIRED TO FILE ANOTHER ONE.
The Defendants in this Case that you may have or you may assert a Claim against are:
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Best Way Trucking, Inc.
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MacMillan-Piper LLC
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GSC Enterprises, Inc.
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GSC Logistics, Inc.
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GSC Logistics Norcal Brokerage, Inc.
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GSC Logistics PNW Brokerage, Inc.
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GSC National Transportation, Inc.
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GSC Solutions, Inc. GSC Transport, Inc.
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Tacoma Transload LLC
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Information about this case is also available at https://www.gscreceivership.com/. However, proofs of claim will not be accepted by email.​​
For More Information
If you have any questions or need any additional information regarding these claims procedures and requirements, please contact the Receiver at:
Email: gsc@newpointadvisors.us
Telephone: (312) 796-7405