In re One2One Communications, LLC, ___ F.3d ___ (3d Cir. 2015). This post about In re Semicrude, L.P., 728 F.3d 314 (3d Cir. 2013), which discussed the bankruptcy doctrine of equitable mootness noted that “the Third Circuit is not wild about equitable mootness,” but that “the panel could not, of course, overrule the en banc […]
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