Saint Vincents Catholic Medical Centers (2010) Company Logo
General Information Case Information Plan and Plan
Related Documents
Asset Sales Omnibus Claims Objections Schedules and SOFA Claim Form Contact Information Retirees Tail Insurance Medical Records Information Hearing Transcripts Other Submit An Inquiry

Introduction

On April 14, 2010, Saint Vincents Catholic Medical Centers of New York and eight (8) affiliated companies (collectively, the "Debtors") filed petitions in the United States Bankruptcy Court for the Southern District of New York seeking relief under chapter 11 of the United States Bankruptcy Code. The Debtors’ cases have been assigned to The Honorable Cecelia G. Morris and are being jointly administered for procedural purposes. All pleadings will be maintained on the case docket for Saint Vincents Catholic Medical Centers of New York, Case No. 10-11963 (the "Main Case Docket"). The Main Case Docket can be accessed through the website maintained by the United States Bankruptcy Court for the Southern District of New York (http://www.nysb.uscourts.gov). An unofficial version of the Main Case Docket is accessible by selecting the "Docket" link at the top of this page.

PLEASE NOTE that Saint Vincents Catholic Medical Centers of New York d/b/a Saint Vincents Catholic Medical Centers and certain of its affiliated companies previously filed for relief under chapter 11 of the United States Bankruptcy Code in the United States Bankruptcy Court for the Southern District of New York on July 5, 2005; Lead Case No. 05-14945 (CGM), Jointly Administered (the "First Chapter 11 Cases"). The First Chapter 11 Cases are unrelated to these 2010 bankruptcy proceedings. The bankruptcy website for the First Chapter 11 Cases can be accessed by selecting the "Other" tab above.

To submit an inquiry please click here

Plan Related Documents and Confirmation Hearing

A hearing to confirm the Debtors’ Second Amended Joint Chapter 11 Plan (the “Confirmation Hearing”) is scheduled for 11:00 a.m. (Prevailing Eastern Time) on June 25, 2012 before the Honorable Cecelia G. Morris, Chief United States Bankruptcy Judge, in the United States Bankruptcy Court for the Southern District of New York, located at One Bowling Green, New York, New York 10004, Courtroom 723. The Debtors’ Second Amended Joint Chapter 11 Plan and related documents are available below.

Please click here to access the Debtors’ Second Amended Joint Chapter 11 Plan and related documents.

Frequently Asked Questions Relating to the Second Administrative Bar Date Notice

I just received the “Notice of Deadline for Filing of Administrative Expense Claims that Arose, Accrued, or Otherwise Became Due and Payable On and Between June 1, 2011 and April 30, 2012”. What is it?

It is a notice (“Notice”) alerting you that the deadline by which proof of an Administrative Expense Claim (defined below) against the Debtors which arose between June 1, 2011 and April 30, 2012 must be filed is May 22, 2012 at 4:00 p.m. (Eastern Time) (the “Second Administrative Bar Date”).

Why am I receiving the Notice of the Second Administrative Bar Date?

The Notice was sent to anyone that has had some relationship with, or has done business with, Saint Vincents Catholic Medical Centers or its affiliated debtors (the “Debtors”). The fact that you have received the Notice does not mean that you have a claim or that the Debtors or the Court believe that you have a claim. If you have any questions about whether you have an administrative expense claim, you should consult your own legal counsel.

What is an Administrative Expense Claim?

Section 503 of the Bankruptcy Code defines an administrative expense claim (“Administrative Expense Claim”) in part, as “all necessary costs and expenses” of preserving a debtor’s estate, including “wages, salaries and commissions” incurred during the course of a debtor’s bankruptcy case.

For purposes of this Notice, if you: (a) supplied goods or services to a Debtor, (b) during the period from June 1, 2011 through April 30, 2012, and (c) have not been paid for those goods or services, then you may have an Administrative Expense Claim if you are not one of the parties listed in section 2 of the Notice as exempt from filing a proof of Administrative Expense Claim.

Do I need to file proof of an Administrative Expense Claim?

If you have an Administrative Expense Claim against one or more of the Debtors: (a) if because you supplied goods or services to one of the Debtors; (b) between June 1, 2011 and April 30, 2012; (c) you have not already been paid for those goods or services; and (d) it is not one of the types of claims described in section 2 of the Notice as being exempt from filing a proof of claim, you MUST timely file an Administrative Expense Claim on or before May 22, 2012 at 4:00 p.m. (Eastern Time), or else your Administrative Expense Claim will be disallowed.

You should file separate proofs of Administrative Expense Claim against each Debtor against whom you hold a claim.

What is the difference between the Original Bar Date, the First Administrative Bar Date, and this Second Administrative Bar Date?

The original bar date, which was October 12, 2010, was the deadline for filing “prepetition claims” against the Debtors.

A “prepetition claim” is a claim you may have against a debtor that arose on or prior to the debtor’s petition date (in our case, April 14, 2010).

The first administrative bar date, which was August 2, 2011, was the deadline for filing Administrative Expense Claims against the Debtors that arose between April 14, 2010 (the date the debtors filed for bankruptcy) and May 31, 2011. If you have an Administrative Expense Claim that arose during this period, you do not need to file a proof of Administrative Expense Claim now.

The Second Administrative Bar Date, which is May 22, 2012 at 4:00 p.m. (Eastern Time), is the deadline for filing Administrative Expense Claims that arose against the Debtors during the period from June 1, 2011 through April 30, 2012. The Notice you have just received relates to the Second Administrative Bar Date.

Do I need to file a proof of Administrative Expense Claim that arose during the period from June 1, 2011 through April 30, 2012 if I already filed one?

If you have previously filed a proof of claim which covered your Administrative Expense Claims that arose during the period from June 1, 2011 through April 30, 2012, you do not need to file another proof of Administrative Expense Claim now.

If I am a member of USFHP, will there be any interruption in my health care services?

USFHP is part of Saint Vincents Catholic Medical Centers, which is a Debtor in these bankruptcy proceedings. However, USFHP continues to operate its business as it has since before the Debtors filed for bankruptcy. There has been no interruption in the services that USFHP provides to its members.

How do I obtain a proof of Administrative Expense Claim form?

Administrative Expense Claim forms may be obtained from the Debtors’ bankruptcy website at www.svcmcrestructuring.com.

Where must I file my proof of Administrative Expense Claim form?

IF SENT BY FIRST-CLASS MAIL:

Saint Vincents Catholic Medical Centers of
New York (2010) - Claims Processing Center
c/o Epiq Bankruptcy Solutions, LLC
Grand Central Station, P.O. Box 4834
New York, NY 10163-4834

IF BY HAND DELIVERY OR OVERNIGHT MAIL:

Saint Vincents Catholic Medical Centers of New York
(2010) - Claims Processing Center
c/o Epiq Bankruptcy Solutions, LLC
757 Third Avenue, 3rd Floor
New York, NY 10017

As a former Employee or current Employee, do I need to file a proof of claim if I already filed one?

If you have previously filed a proof of claim that did not cover your Administrative Expense Claims which arose during the period from June 1, 2011 through April 30, 2012 and you are not one of the parties listed in section 2 of the Notice as exempt from filing a proof of Administrative Expense Claim, you must file one on or before May 22, 2012 at 4:00 p.m. (Eastern Time).

Is my union obligated to file a claim for my vacation time and sick time?

Please contact your union representative for this information. The Debtors do not know whether your union will be filing a claim on your behalf.

How do I go about filing a claim for my vacation time and sick time?

Claim forms may be obtained from the Debtors’ bankruptcy website at www.svcmcrestructuring.com. If you believe you have any vacation, costs, expenses or other claims that arose during the period from June 1, 2011 through April 30, 2012, you must file a claim on or before May 22, 2012 at 4:00 p.m. (Eastern Time).

What if I have an Administrative Expense Claim that became due and payable on or after May 1, 2012?

With respect to any Administrative Expense Claims that arose, accrued, or otherwise became due and payable on or after May 1, 2012, the Court will fix a supplemental bar date. You will receive notice of that date at a later time.

What if I have an Administrative Expense Claim that arose on or before May 31, 2011?

The Second Administrative Bar Date does not apply to claims that arose on or before May 31, 2011. If your claim arose on or before May 31, 2011, this Notice does not affect you, and you do not need to file a proof of Administrative Expense Claim.

Frequently Asked Questions Relating to Disclosure Statement

What is the “Notice of Disclosure Statement Hearing”?

On April 24, 2012, Saint Vincent Catholic Medical Centers of New York and its affiliated debtors (the “Debtors”) filed their Disclosure Statement for the Debtors’ Proposed Joint Chapter 11 Plan (the “Disclosure Statement”), which will accompany their proposed Joint Chapter 11 Plan (the “Plan”). The notice was sent to inform you that the Bankruptcy Court will hold a hearing regarding the approval of the Disclosure Statement on May 17, 2012 at 11:00 a.m.

What is the Disclosure Statement?

The Disclosure Statement is a document that will accompany the Debtors’ Plan. The Disclosure Statement describes, among other things, (a) the Debtors’ background and major events in their Chapter 11 cases, (b) an estimation of the percentage recovery for the various classes of claims against the Debtors, (c) a basic description of the Debtors’ Plan, (d) the Plan’s effect upon the Debtors’ creditors, and (e) the Debtors’ ability to consummate to the Plan.

When is the hearing to approve the Disclosure Statement?

The hearing to approve the Disclosure Statement is scheduled to occur on May 17, 2012 at 11:00 a.m. Eastern Time. It will be held before the Honorable Cecelia G. Morris, Chief Bankruptcy Judge, of the United States Bankruptcy Court for the Southern District of New York, at the Alexander Hamilton Custom House, One Bowling Green, New York, New York 10004-1408. A specific courtroom will be assigned closer to the time of the hearing and will be disclosed on the Debtors’ bankruptcy website, www.svcmcrestructuring.com. The specific courtroom will also be posted prominently in the courthouse on the day of the hearing.

Do I need to attend the hearing to approve the Disclosure Statement?

You are not required to attend this hearing.

Why did I receive the Notice?

You were identified as either a creditor or a potential creditor of one of the Debtors.

Where is my ballot?

Ballots are not being solicited at this time. If the Disclosure Statement is approved by the Bankruptcy Court at the hearing on May 17, 2012, ballots and other solicitation materials will be sent to claimants who are entitled to vote on the Plan shortly afterward.

Am I entitled to vote on the Plan?

Currently, the Plan contemplates that the only creditors entitled to vote are (a) holders of general unsecured claims against the Debtors (defined in the Plan as “GUC Claims”) and (b) the “Multi-Employer Pension Fund Subordinated Unsecured Claims” (certain claims arising from withdrawal liability of the Debtors).

For more specific description of the claims that are entitled to vote, please refer to the proposed Disclosure Statement and Plan that can be viewed, free of charge, on the Debtors’ bankruptcy website, www.svcmcrestructuring.com.

If you fall within one of the two classes entitled to vote on the plan, you will be sent a voting ballot, together with instructions explaining the voting process, at a later date.

How can I view the Disclosure Statement, the Plan and/or the motion to approve the Disclosure Statement?

A copy of the Disclosure Statement, the Plan and the motion to approve the Disclosure Statement are available, free of charge, on the Debtors’ bankruptcy website, www.svcmcrestructuring.com. Click on the “Key Documents” hyperlink on the top right-hand corner of the web page. A pdf copy of each document is available on that page.

In addition, the Disclosure Statement, the Plan, and the motion to approve the Disclosure Statement are on file with the Bankruptcy Court and may be examined (for a fee) by accessing the Bankruptcy Court’s website: www.nysb.uscourts.gov. Note that a PACER password and login are needed to access documents on the Bankruptcy Court’s website. A PACER password can be obtained at: www.pacer.psc.uscourts.gov.

Should I object to the Disclosure Statement?

We cannot give you legal advice; you may wish to hire an attorney.

How do I object to the Disclosure Statement?

The procedures for responding to and/or objecting to the Disclosure Statement can be found on pages 2-3 of the “Notice of Disclosure Statement Hearing” which you received. If you do not have a copy of the “Notice of Disclosure Statement Hearing,” it is included as an exhibit to the Debtors’ motion to approve the Disclosure Statement, which you may obtain, free of charge, on the Debtors’ bankruptcy website, www.svcmcrestructuring.com. Click on the “Key Documents” hyperlink on the top right-hand corner of the web page.

Your response or objection needs to be filed with the Bankruptcy Court and also served so as to be actually received by the required notice parties on or before 4:00 p.m. Eastern Time on May 10, 2012. If you do not file a timely objection, you may be precluded entirely from asserting an objection to the Disclosure Statement.

Frequently Asked Questions Relating to Employees and the Administrative Bar Date

As a former Employee or current Employee, do I need to file a proof of claim if I already filed one?

If you only have prepetition claims against the Debtors and you previously filed a proof of claim covering such claims, you do not have to file another proof of claim unless you have a claim that arose after April 14, 2010. If you believe you have accrued vacation time or other costs or expenses AFTER the Debtor filed Bankruptcy on April 14th, 2010, you must file a claim on or before August 2, 2011 at 4:00 p.m. (prevailing Eastern time).

Will the union file a claim on my behalf for my vacation time and sick time?

Please contact your Union Representative for this information. The Debtors do not know whether the Union will be filing a claim on your behalf.

How do I file a claim for my vacation time and sick time?

Claim forms may be obtained from SVCMC’s website at http://www.svcmcrestructuring.com or by calling 866-778-1023. The Original Bar Date deadline to file a proof of claim regarding to prepetition amounts was October 12, 2010. You may still file a claim for prepetition amounts, however, the Debtors may object to your claim as being late-filed. If you believe you have any vacation, costs or expenses that arose AFTER the Debtor filed Bankruptcy on April 14th, 2010, you must file a claim on or before August 2, 2011 at 4:00 p.m. (prevailing Eastern time).

St. Elizabeth Ann's Nursing Home and Lease of the Bayley Seton Campus

On June 9, 2011, the Debtors filed a motion seeking Bankruptcy Court approval of bidding procedures for an auction of the sale of the Debtors' Sisters of Charity Health Care System Nursing Home, Inc. d/b/a St. Elizabeth Ann’s Health Care & Rehabilitation Center located at 91 Tompkins Avenue, Staten Island, New York and entry into a ground lease of the Debtors' Bayley Seton Campus.

On June 30, 2011, the Bankruptcy Court entered an order approving the procedures. Pursuant to the bidding procedures the auction is currently scheduled for July 28, 2011, with bids due by July 25, 2011. For a copy of the order approving bidding procedures, please click here.

Parties interested in conducting due diligence should contact Loeb & Troper LLP, 655 Third Avenue, 17th Floor, New York, New York 10017, Attn: David Adest, telephone: 212-697-3000, facsimile: 212-697-8893, email: dadest@loebandtroper.com, and Morgan Keegan, 630 Fifth Avenue, Suite 2950, New York, New York 10011, Attn: Thomas M. Barry, telephone 212-314-0367, email: tbarry@morgankeegan.com.

For a copy of the motion and all relevant transaction documents, please click here. Please note that the dates approved by the Bankruptcy Court differ than the proposed dates contained in the motion.


Manhattan Campus Sale

On March 9, 2011, the Debtors filed their Motion to Approve the Sale of the Manhattan Campus. On April 11, 2011, the Bankruptcy Court approved the sale of the Manhattan Campus to RSV, LLC and North Shore-Long Island Jewish Health Care System. For a copy of (i) the motion please click here, or (ii) the sale order please click here.

Important Phone Numbers

Claims Processing Center Hotline: 866-778-1023.

Notice Of Right To Object To Request By Patient Care Ombudsman For Access To Confidential Patient Information

Daniel T. McMurray, the patient care ombudsman filed a Motion for Order Granting The Patient Care Ombudsman Access To Confidential Patient Information, Approving Notice to Patients of Ombudsman Reports and Granting Related Relief in the United States Bankruptcy Court for the Southern District of New York. The Motion is scheduled for a hearing on May 6, 2010 at 2:00 p.m. To view the related "Notice of Right to Object to Request by Patient Ombudsman for Access to Confidential Patient Information Relating to the Treatment of Substance Abuse, HIV and/or AIDS," please click here.

Initial Case Conference

Pursuant to 11 U.S.C. § 105(d) and Local Bankruptcy Rule 1007-2(e), an initial case management conference will be conducted by Bankruptcy Judge Cecilia G. Morris at the United States Bankruptcy Court located at One Bowling Green, New York, New York 10004-1408, Courtroom 701 on May 6, 2010, at 2 p.m., or as soon thereafter as counsel may be heard, to consider the efficient administration of the case, which may include, inter alia, such topics as retention of professionals, creation of a committee to review budget and fee requests, use of alternative dispute resolution, timetables, and scheduling of additional case management conferences.

Section 341 Meeting of Creditors

In accordance with Section 341 of the Bankruptcy Code, a meeting of the Debtors' creditors has been scheduled for June 22, 2010 at 2:00 p.m. (EST) at The Office of the United States Trustee, 80 Broad Street, 4th Floor, New York, NY. Click here to see the Commencement Notice.

Debtors

Lead Debtor:
Saint Vincents Catholic Medical Centers of New York (click for petition)
Case No.: 10-11963

Related Debtors
Bishop Francis J. Mugavero Center for Geriatric Care, Inc. (click for petition)
Case No.: 10-11965
Chait Housing Development Corporation (click for petition)
Case No.: 10-11966
Fort Place Housing Corporation (click for petition)
Case No.: 10-11967
Pax Christi Hospice, Inc. (click for petition)
Case No.: 10-11968
Sisters of Charity Health Care System Nursing Home, Inc. d/b/a St. Elizabeth Ann's Health Care & Rehabilitation Center (click for petition)
Case No.: 10-11969
St. Jerome's Health Services Corporation d/b/a Holy Family Home (click for petition)
Case No.: 10-11970
555 6th Avenue Apartment Operating Corporation (click for petition)
Case No.: 10-11971
SVCMC Professional Registry, Inc. (click for petition)
Case No.: 10-11972



Plan Related Documents and Confirmation Hearing

A hearing to confirm the Debtors’ Second Amended Joint Chapter 11 Plan (the “Confirmation Hearing”) is scheduled for 11:00 a.m. (Prevailing Eastern Time) on June 25, 2012 before the Honorable Cecelia G. Morris, Chief United States Bankruptcy Judge, in the United States Bankruptcy Court for the Southern District of New York, located at One Bowling Green, New York, New York 10004, Courtroom 723. The Debtors’ Second Amended Joint Chapter 11 Plan and related documents are available below.

Notice of Effective Date of the Debtors Second Amended Joint Chapter 11 Plan [Docket No. 3069]

Notice of Entry of Order Confirming Debtors Second Amended Joint Chapter 11 Plan [Docket No. 3067]

Order Confirming Debtors’ Second Amended Joint Chapter 11 Plan [Docket No. 3060]

Debtors’ Second Amended Joint Chapter 11 Plan [Docket No. 3035]

Notice Of Filing of (I) Technical Amendments To The Debtors’ Revised Amended Joint Chapter 11 Plan and (II) An Electronic Comparison To The Amended Plan [Related Docket Nos. 2848, 2898, 2921 & 3035] [Docket No. 3036]

Notice Of Filing Of Certain Plan Supplements To The Debtors’ Amended Joint Chapter 11 Plan (Creditor Settlement Agreements) [Related Docket Nos. 2847, 2848, 2897 & 2898] [Docket No. 2910]

Second Notice Of Filing Of Plan Supplements To The Debtors’ Amended Joint Chapter 11 Plan [Related Docket Nos. 2847, 2848, 2897, 2898, 2920 & 2921] (Initial Liquidating And Operating Budget, MedMal Trust Agreement Amendments, Amended And Restated Tail Settlement Agreement, Identity Of Liquidating Trustee, Responsible Officer, And Post-Effective Date Committee [Docket No. 3010]

Third Notice Of Filing Of Plan Supplements To The Debtors’ Amended Joint Chapter 11 Plan [Related Docket Nos. 2847, 2848, 2897, 2898, 2920 & 2921] (Amended And Restated Tail Settlement Agreement And Manhattan And Westchester Covered Staff Lists) [Docket No. 3016]

Fourth Notice of Filing of Plan Supplements To The Debtors’ Amended Joint Chapter 11 Plan [Related Docket Nos. 2847, 2848, 2897, 2898, 2920, 2921] (Identity Of Post-Effective Date SVCMC Directors) [Docket No. 3034]

Fifth Notice of Filing of Plan Supplements to the Debtors Second Amended Joint Chapter 11 Plan (Schedule of Assumed Contracts) [Docket No. 3068]

Memorandum of Law In Support of Confirmation of The Debtors’ Second Amended Joint Chapter 11 Plan [Docket No. 3037]

Declaration of Steven R. Korf in Support of Confirmation of the Debtors' Second Amended Joint Chapter 11 Plan [Docket No. 3045]

Notice of Proposed Order Confirming The Debtors’ Second Amended Joint Chapter 11 Plan [Docket No. 3038]

Declaration of Christina F. Pullo on Behalf of Epiq Bankruptcy Solutions, LLC, Regarding Voting And Tabulation of Ballots Accepting and Rejecting The Debtors’ Amended Joint Chapter 11 Plan [Docket No. 3021]

Notice Of Filing Of Letters From The Debtors And The Official Committee Of Unsecured Creditors’ Soliciting Votes In Connection With The Debtors’ Amended Joint Chapter 11 Plan [Docket No. 2907]

Order (I) Approving The Disclosure Statement, (II) Establishing Procedures For Solicitation And Tabulation Of Votes To Accept Or Reject The Debtors’ Joint Chapter 11 Plan, (III) Scheduling A Hearing On Confirmation Of The Plan, (IV) Approving Procedures For Notice Of The Confirmation Hearing And For Filing Objections To Confirmation Of The Plan, And (V) Granting Related Relief [Docket No. 2923]

Disclosure Statement For The Amended Joint Plan Of Saint Vincents Catholic Medical Centers Of New York And Certain Of Its Affiliates Under Chapter 11 Of The Bankruptcy Code [Docket No. 2920]

On June 14, 2010, Saint Vincents Catholic Medical Centers of New York and eight (8) affiliated companies filed a Statement of Financial Affairs and Schedules of Assets and Liabilities. Copies of these documents can be viewed by selecting the links below.

Schedules Of Assets And Liabilities

Statements Of Financial Affairs



On August 24, 2010, Saint Vincents Catholic Medical Centers of New York and six (6) of its affiliated companies filed Amended Statement of Financial Affairs and Amended Schedules of Assets and Liabilities. Copies of these documents can be viewed by selecting the links below.

Amended Schedules Of Assets And Liabilities

Amended Statements Of Financial Affairs



On July 2, 2012, Saint Vincents Catholic Medical Centers of New York and five (5) of its affiliated companies filed Second Amended Schedules of Assets and Liabilities. Copies of these documents can be viewed by selecting the links below.

Second Amended Schedules Of Assets And Liabilities



On November 19, 2013, Saint Vincents Catholic Medical Centers of New York filed Third Amended Schedules of Assets and Liabilities. Copies of this document can be viewed by selecting the link below

Third Amended Schedules Of Assets and Liabilities

Third Administrative Expense Claim Bar Date

Pursuant to Docket # 3060, the United States Bankruptcy Court has established July 30, 2012 at 4:00 p.m., Eastern Time, as the deadline for filing administrative expense claims that arose, accrued, or became due and payable between May 1, 2012 through the Effective Date (June 29, 2012). For a copy of (i) the order setting this deadline please click here, (ii) the notice of entry of order confirming Debtors’ Second Amended Joint Chapter 11 please click here, (iii) ADMINISTRATIVE EXPENSE CLAIM FORM please click here.

If by First-Class mail:
Saint Vincents Catholic Medical Centers of New York (2010) Claims Processing Center
c/o Epiq Bankruptcy Solutions, LLC
Grand Central Station, P.O. Box 4834
New York, NY 10163-4834
If by Hand Delivery or Overnight mail:
Saint Vincents Catholic Medical Centers of New York (2010) Claims Processing Center
c/o Epiq Bankruptcy Solutions, LLC
757 Third Avenue, 3rd Floor
New York, NY 10017

Second Administrative Expense Claim Bar Date

Pursuant to Docket # 2860, the United States Bankruptcy Court has established May 22, 2012 at 4:00 p.m., Eastern Time, as the deadline for filing administrative expense claims that arose, accrued, or became due and payable between June 1, 2011 and April 30, 2012. For a copy of (i) the order setting this deadline please click here, (ii) the notice of deadline for filing administrative expense claims please click here, (iii) ADMINISTRATIVE EXPENSE CLAIM FORM please click here.


If by First-Class mail:
Saint Vincents Catholic Medical Centers of New York (2010) Claims Processing Center
c/o Epiq Bankruptcy Solutions, LLC
Grand Central Station, P.O. Box 4834
New York, NY 10163-4834
If by Hand Delivery or Overnight mail:
Saint Vincents Catholic Medical Centers of New York (2010) Claims Processing Center
c/o Epiq Bankruptcy Solutions, LLC
757 Third Avenue, 3rd Floor
New York, NY 10017

First Administrative Expense Claim Bar Date

Pursuant to Docket # 1775, the United States Bankruptcy Court has established August 2, 2011 at 4:00 p.m., Eastern Time, as the deadline for filing administrative expense claims that arose, accrued, or became due and payable after April 14, 2010 through May 31, 2011. For a copy of (i) the order setting this deadline please click here, (ii) the notice of deadline for filing administrative expense claims please click here, (iii) ADMINISTRATIVE EXPENSE CLAIM FORM please click here.


If by First-Class mail:
Saint Vincents Catholic Medical Centers of New York (2010) Claims Processing Center
c/o Epiq Bankruptcy Solutions, LLC
Grand Central Station, P.O. Box 4834
New York, NY 10163-4834
If by Hand Delivery or Overnight mail:
Saint Vincents Catholic Medical Centers of New York (2010) Claims Processing Center
c/o Epiq Bankruptcy Solutions, LLC
757 Third Avenue, 3rd Floor
New York, NY 10017

Frequently Asked Questions Relating to Employees and the Administrative Bar Date

As a former Employee or current Employee, do I need to file a proof of claim if I already filed one?

If you only have prepetition claims against the Debtors and you previously filed a proof of claim covering such claims, you do not have to file another proof of claim unless you have a claim that arose after April 14, 2010. If you believe you have accrued vacation time or other costs or expenses AFTER the Debtor filed Bankruptcy on April 14th, 2010, you must file a claim on or before August 2, 2011 at 4:00 p.m. (prevailing Eastern time).

Will the union file a claim on my behalf for my vacation time and sick time?

Please contact your Union Representative for this information. The Debtors do not know whether the Union will be filing a claim on your behalf.

How do I file a claim for my vacation time and sick time?

Claim forms may be obtained from SVCMC’s website at http://www.svcmcrestructuring.com or by calling 866-778-1023. The Original Bar Date deadline to file a proof of claim regarding to prepetition amounts was October 12, 2010. You may still file a claim for prepetition amounts, however, the Debtors may object to your claim as being late-filed. If you believe you have any vacation, costs or expenses that arose AFTER the Debtor filed Bankruptcy on April 14th, 2010, you must file a claim on or before August 2, 2011 at 4:00 p.m. (prevailing Eastern time).

General Bar Date

Pursuant to Docket # 773, the United States Bankruptcy Court has established October 12, 2010 at 5:00 p.m., Eastern Time, as the deadline to file proofs of claim against the Debtors.

A blank general proof of claim form can be obtained here.

Key Professionals

Debtors' Counsel
Kramer Levin Naftalis & Frankel LLP
1177 Avenue of the Americas
New York, New York 10036
http://www.kramerlevin.com
Phone:(212) 715-9100
Fax: (212) 715-8000
Attn: Kenneth H. Eckstein, Esq.
Adam C. Rogoff, Esq.
P. Bradley O'Neill, Esq.
Gregory Gennady Plotko, Esq.
Debtors’ Special Healthcare, Regulatory, Corporate, Real Estate, Litigation, and Finance Counsel
Garfunkel Wild, P.C.
111 Great Neck Road
Great Neck, New York 11021
http://www.garfunkelwild.com
Phone:(516) 393-2200
Fax: (516) 466-5964
Attn: Burton S. Weston
Afsheen A. Shah
Debtors’ Corporate Restructuring Advisors
Grant Thornton
666 Third Avenue
13th Floor
New York, New York 10017
http://www.grantthornton.com
Phone:(212) 599-0100
Fax: (212) 370-4520
Attn: Mark E. Toney
Steven R. Korf
Randa Karambelas
Christopher Karambelas
Counsel to the Official Committee of Unsecured Creditors
Akin Gump Strauss Hauer & Feld LLP
One Bryant Park
New York, New York 10036
http://www.akingump.com
Phone:(212) 872-1000
Fax: (212) 872-1002
Attn: David H. Botter
Sarah Link Schultz
Kenneth A. Davis

Official Committee of Unsecured Creditors

Pursuant to Docket #106, the following creditors have been appointed to the Official Committee of Unsecured Creditors in these cases by the Office of the United States Trustee:

Bestcare, Inc.
3000 Hempstead Tpke., Suite 205
Levittown, NY 11756
Attn: Bernhard R. Schiel
Consolidated Edison Company
of New York, Inc.

4 Irving Place, Room 1875S
New York, NY 10003
Attn: Leon Z. Mener
McKesson Corporation
400 Delran Parkway
Delran, NJ 08075
Attn: Ray Carlisi
Medmal Trust Monitor
c/o Richard S. Kanowitz, Esq.
Cooley Godward Kronish LLP
1114 Avenue of the Americas
New York, New York 10036
New York State Nurses Association
120 Wall St.
New York, NY 10005
Attn: Thomas Jennings
Nursing Personnel Homecare
175 S. 9th St.
Brooklyn, NY 11206
Attn: Moses Schlesinger
1199 SEIU National Benefit Fund
for Health and Human Services Employees
330 West 42nd Street
New York, NY 10036
Attn: Douglas Munson
Pension Benefit Guaranty Corporation
1200 "K" Street, N.W.
Washington, D.C. 20005-4026
Attn: Suzanne Kelly
Siemens Medical Solutions USA, Inc.
51 Valley Stream Parkway
Malvern, PA 19355
Attn: John J. Schwab, Esq.

Judge

The Honorable Cecelia G. Morris
United States Bankruptcy Judge
United States Bankruptcy Court
For the Southern District of New York
355 Main Street
Poughkeepsie, NY 12601-3315


U.S. Trustee

Office of the United States Trustee, Southern District of New York
U.S. Federal Office Building
201 Varick Street, Suite 1006
New York, NY 10014
Phone:(212) 510-0500
Fax: (212) 668-2255
Attn: Serene Nakano


Patient Care Ombudsman

Patient Care Ombudsman
Daniel T. McMurray

Counsel to Patient Care Ombudsman
Neubert, Pepe & Monteith, P.C.
195 Church Street
13th Floor
New Haven, CT 06510
Phone:(203) 821-2000
Attn: Mark I. Fishman, Esq.


Consumer Privacy Ombudsman

Alan Chapell, Esq., CIPP
Chapell & Associates, LLC
297 Driggs Avenue
Brooklyn, NY 11222
Email:      achapell@chapellassociates.com
Phone:(917) 318-8440

SVCMC RETIREMENT PLANS

Effective as of September 14, 2010, the Pension Benefit Guaranty Corporation (PBGC) assumed responsibility for the SVCMC pension plans covering thousands of SVCMC workers and retirees. The PBGC will now be administering the benefits payable to retirees.

If you have any questions or would like additional information on the SVCMC retirement plans, please consult the PBGC website at www.pbgc.gov, or contact Portia Thurman at 1-800-400-7242 ext. 2018.



Notice Of Deadlines For Filing Certain Medical Malpractice Tail Claims Against The Debtors And Covered Staff


On September 4, 2012, the United States Bankruptcy Court entered an order [Docket No. 3223], (the “Tail Claim Bar Dates Order”) establishing October 31, 2012, at 5:00 p.m. (prevailing Eastern Time), as the deadline for filing a Tail Claim, other than an Infant Tail Claim and December 31, 2012 at 5:00 p.m. (prevailing Eastern Time) as the deadline for filing Tail Claims on behalf of an infant. For a copy of (i) the motion to establish these deadlines please click here (ii) the order setting this deadline please click here, (iii) the notice of deadlines for filing certain medical malpractice tail claims against the debtors and covered staff click here, (iv) TAIL CLAIM FORM please click here.


Tail Insurance Funds for former Medical Professionals and Staff at St. Vincent’s Manhattan Hospital and Saint Vincent’s Westchester Hospital


Manhattan Tail Fund

On October 29, 2010, the Court approved a settlement agreement between SVCMC, the Committee of Interns and Residents/SEIU, a group of 108 physicians, and a nurse practitioner previously employed by St. Vincent's Manhattan Hospital. The settlement agreement provided for the creation of a self-insurance, or “tail,” fund for the benefit of SVCMC and the participating former physicians, interns, residents and other medical staff that were employed by St. Vincent's Manhattan Hospital and its related clinics in Manhattan. The agreement prevents the pursuit of certain current or future medical malpractice actions against medical professionals and limits claims to monies set aside in the tail insurance fund.



Westchester Tail Fund

On September 22, 2011, the Court approved an amendment to the original settlement agreement to include the former medical professionals that were employed at St. Vincent’s Westchester Hospital and its related clinics. The amendment provided for the establishment of a separate, but functionally similar, tail insurance fund for the benefit of participating medical professionals previously employed by St. Vincent’s Westchester Hospital.



Pursuant to the settlements described above, the Court temporarily extended the automatic stay to enjoin the prosecution of medial malpractice claims against the Debtors and participants in the tail insurance funds. The temporary extension of the automatic stay is set to expire on the earlier of January 31, 2012 or the effective date of the Debtors’ chapter 11 plan. The Debtors expect to seek a further extension of the automatic stay. You may click here to obtain a copy of the current stay extension order.



IMPORTANT NOTICE FOR FORMER MEDICAL PROFESSIONALS



For Physicians, interns, residents, and other medical staff formerly employed by St. Vincent’s Manhattan Hospital or St. Vincent’s Westchester Hospital:



FORMER ST. VINCENT'S MANHATTAN HOSPITAL STAFF

Forms allowing former medical professionals at St. Vincent’s Manhattan Hospital to either Opt-In or Opt-Out of the tail insurance fund have already been distributed. Invoices have been distributed to participating medical professionals regarding required tail insurance fund contribution amounts.



FOR FORMER SAINT VINCENT’S WESTCHESTER HOSPITAL MEDICAL STAFF

Documentation allowing you to either Opt-In or Opt-Out of the Westchester tail insurance fund has been mailed. You should consult with your personal attorney to advise you with regard to your rights.



If you do not Opt-In to the tail insurance fund within 45 days of your receipt of the Opt-In form, the Temporary Stay Extension will automatically terminate as to you. In addition, the Debtor will NOT pay for your professional liability tail coverage, which may leave you with a gap in professional liability insurance coverage or without any coverage at all for claims that have not yet been asserted. You may click here to obtain a copy of the Opt-In letter.

You may click here to obtain a copy of the Settlement Agreement and click here to obtain a copy of the Westchester Amendment.

For further information please contact:

(i) Michael Brofman, Esq.
Weiss & Zarett, P.C.
Phone: (516) 627-7000
Email:mbrofman@weisszarett.com


or

(ii) Saint Vincents Catholic Medical Centers of New York
450 West 33rd Street
New York, New York 10001
Attn: Tail Claims Settlement Administrator
Email:tailcoverage@svcmcny.org
Phone: 214-534-7468


Please note that any discussions with the Tail Claims Settlement Administrator are solely for informational purposes only. The Tail Claims Settlement Administrator will try to assist you in preliminarily resolving any issues regarding your invoice. However, the Tail Claims Settlement Administrator does not have authority to bind the Debtors in any way. All resolutions will be subject to a written agreement with the Debtors and are subject to Bankruptcy Court approval.



Hearing Transcripts

April 15, 2010 Hearing Transcript
April 16, 2010 Hearing Transcript
April 22, 2010 Hearing Transcript
May 6, 2010 Hearing Transcript
May 13, 2010 Hearing Transcript
May 17, 2010 Hearing Transcript
May 27, 2010 Hearing Transcript
June 10, 2010 Hearing Transcript
June 17, 2010 Hearing Transcript Part One
June 17, 2010 Hearing Transcript Part Two
July 1, 2010 Hearing Transcript
July 22, 2010 Hearing Transcript
August 19, 2010 Hearing Transcript
September 2, 2010 Hearing Transcript
September 17, 2010 Hearing Transcript
October 7, 2010 Hearing Transcript
October 21, 2010 Hearing Transcript
October 26, 2010 Hearing Transcript
November 4, 2010 Hearing Transcript
November 18, 2010 Hearing Transcript
December 2, 2010 Hearing Transcript
December 16, 2010 Hearing Transcript
January 20, 2011 Hearing Transcript
March 3, 2011 Hearing Transcript
April 7, 2011 Hearing Transcript (Regarding Sale of Manhattan Campus)
April 28, 2011 Hearing Transcript
May 19, 2011 Hearing Transcript
June 16, 2011 Hearing Transcript
June 23, 2011 Hearing Transcript
June 30, 2011 Hearing Transcript
July 21, 2011 Hearing Transcript
August 4, 2011 Hearing Transcript
September 15, 2011 Hearing Transcript
November 3, 2011 Hearing Transcript
December 1, 2011 Hearing Transcript
December 14, 2011 Hearing Transcript
January 19, 2012 Hearing Transcript
February 14, 2012 Hearing Transcript
March 1, 2012 Hearing Transcript
March 8, 2012 Hearing Transcript
May 3, 2012 Hearing Transcript
May 17, 2012 Hearing Transcript
June 21, 2012 Hearing Transcript
June 25, 2012 Hearing Transcript
July 26, 2012 Hearing Transcript
August 30, 2012 Hearing Transcript
February 21, 2013 Hearing Transcript
March 21, 2013 Hearing Transcript
May 22, 2013 Hearing Transcript
June 20, 2013 Hearing Transcript
July 18, 2013 Hearing Transcript
August 15, 2013 Hearing Transcript
September 19, 2013 Hearing Transcript
December 19, 2013 Hearing Transcript

Important Phone Numbers

Claims Processing Center Hotline: 866-778-1023.

Patients may also contact the court appointed Patient Care Ombudsman, Daniel McMurray at 800-726-0688.

Useful Links

Debtors Website: http://www.svcmc.org
First Chapter 11 Cases: http://dm.epiq11.com/SVC



To submit an inquiry please click here

Website Information

An unofficial version of the Main Case Docket can be accessed through this website by selecting the "Docket" link at the top of this page. In addition, from time to time, certain key documents filed in these cases or otherwise made available by the Debtors will be available by selecting the "Key Documents" link above. Should you have any questions relating to this website, please feel free to contact us at 646.282.2400.

Staff House

On April 23, 2010, the Debtors filed a motion seeking Bankruptcy Court approval of (i) bidding procedures for an auction of the Debtors’ real property located at 555 6th Avenue in New York, New York, commonly known as the "Staff House" and (ii) the sale of the Staff House to the highest and best bidder at the auction. On May 18, 2010, the Bankruptcy Court entered a bidding procedures order approving the proposed bidding procedures and authorizing the auction of the Staff House. As a result of the auction, the bid submitted by SP 555 Sixth LLC, an affiliate of Stonehenge Partners, was selected as the highest and best bid. On July 1, 2010, the Bankruptcy Court approved the auction results and authorized the sale of the Staff House to SP 555 Sixth LLC. For a copy of ( i) the motion please click here, (ii) the bidding procedures order please click here, or (iii) the sale order please click here.

Pax Christi Hospice

On May 5, 2010, the Debtors filed a emergency motion seeking Bankruptcy Court approval of the transfer of the hospice services of Debtor Pax Christi Hospice, Inc. (the "Hospice") to Visiting Nurse Service of New York Hospice Care ("VNS"). On May 18, 2010, the Bankruptcy Court entered an order approving the sale of the Hospice to VNS. For a copy of ( i) the motion please click here or (ii) the sale order please click here.

Certified Home Health Agency

On June 30, 2010, the Debtors filed a motion seeking Bankruptcy Court approval of bidding procedures for an auction of the Debtors’ Certified Home Health Agency and to sell the Certified Home Health Agency to the highest and best bidder at the auction. On July 23, 2010, the Bankruptcy Court granted the motion and entered a bidding procedures order. Pursuant to the bidding procedures order the Debtors conducted an auction of the Certified Home Health Agency on August 10, 2010. As a result of the auction, North Shore University Hospital was selected as the highest and best bidder and Village Center for Care was selected as the backup bidder. On August 19, 2010, the Bankruptcy Court approved the auction results and thereafter entered an order approving the sale of the Debtors’ Certified Home Health Agency to North Shore University Hospital. For a copy of (i) the motion please click here, (ii) the bidding procedures order please click here, or (iii) the sale order please click here.

Long Term Home Health Care Program

On July 8, 2010, the Debtors filed a motion seeking Bankruptcy Court approval of bidding procedures for an auction of the Debtors’ Long Term Home Health Care Program and to sell the Long Term Home Health Care Program to the highest and best bidder at the auction. On July 23, 2010, the Bankruptcy Court granted the motion and entered a bidding procedures order. Pursuant to the bidding procedures order the Debtors conducted an auction of the Long Term Home Health Care Program on August 11, 2010. As a result of the auction, Visiting Nurse Service of New York Home Care II was selected as the highest and best bidder. On August 19, 2010, the Bankruptcy Court approved the auction results and thereafter entered an order approving the sale of the Debtors’ Long Term Home Health Care Program to Visiting Nurse Service of New York Home Care II. For a copy of (i) the motion please click here, (ii) the bidding procedures order please click here, or (iii) the sale order please click here.

St. Jerome’s Health Services Corporation d/b/a Holy Family Home Nursing Home

On August 5, 2010, the Debtors filed a motion seeking Bankruptcy Court approval of (i) bidding procedures for an auction of the Debtors’ Holy Family Home Nursing Home located at 1740 84 Street, Brooklyn, New York and (ii) the sale of the Holy Family Home Nursing Home to the highest and best bidder at the auction. On August 19, 2010, the Bankruptcy Court entered a bidding procedures order approving the proposed bidding procedures and authorizing the auction of the Holy Family Home Nursing Home. Pursuant to the bidding procedures order the Debtors conducted an auction of the Holy Family Home Nursing Home on September 21, 2010. As a result of the auction, the joint bid by KFG Land Two, LLC and KFG Operating Two, LLC, was selected as the highest and best bid. On October 7, 2010, the Bankruptcy Court approved the auction results and authorized the sale of the Debtors’ Holy Family Home Nursing Home to KFG Land Two, LLC and KFG Operating Two, LLC. For a copy of (i) the motion please click here, (ii) the bidding procedures order please click here, or (iii) the sale order please click here.

Bishop Francis J. Mugavero Center for Geriatric Care Nursing Home

On August 5, 2010, the Debtors filed a motion seeking Bankruptcy Court approval of (i) bidding procedures for an auction of the Debtors' Bishop Francis J. Mugavero Nursing Home located at 155 Dean Street, Brooklyn, New York and (ii) the sale of the Bishop Francis J. Mugavero Nursing Home to the highest and best bidder at the auction. On August 19, 2010, the Bankruptcy Court entered a bidding procedures order approving the proposed bidding procedures and authorizing the auction of the Bishop Francis J. Mugavero Nursing Home . Pursuant to the bidding procedures order the Debtors conducted an auction of the Bishop Francis J. Mugavero Nursing Home on September 21, 2010. As a result of the auction, the joint bid by KFG Land One, LLC and KFG Operating I, LLC, was selected as the highest and best bid. On October 7, 2010, the Bankruptcy Court approved the auction results and authorized the sale of the Debtors’ Bishop Francis J. Mugavero Nursing Home to KFG Land One, LLC and KFG Operating I, LLC. For a copy of (i) the motion please click here, (ii) the bidding procedures order please click here, or (iii) the sale order please click here.

Behavioral Health Services - St. Vincent's Hospital Westchester

On August 25, 2010, the Debtors filed a motion seeking Bankruptcy Court authorization to sell substantially all the Debtors’ inpatient and outpatient behavioral health service programs, including the St. Vincent’s Westchester Hospital facility located 275 North Street, Harrison, New York, to St. Joseph’s Medical Center. On October 7, 2010, the Bankruptcy Court approved the sale to St. Joseph’s Medical Center. For a copy of (i) the motion please click here, or (ii) the sale order please click here.


Manhattan Campus

On March 9, 2011, the Debtors filed their Motion to Approve the Sale of the Manhattan Campus. On April 11, 2011, the Bankruptcy Court approved the sale of the Manhattan Campus to RSV, LLC and North Shore-Long Island Jewish Health Care System. For a copy of (i) the motion please click here, or (ii) the sale order please click here.

St. Elizabeth Ann's Nursing Home and Lease of the Bayley Seton Campus

On June 9, 2011, the Debtors filed a motion seeking Bankruptcy Court approval of bidding procedures for an auction of the sale of the Debtors' Sisters of Charity Health Care System Nursing Home, Inc. d/b/a St. Elizabeth Ann’s Health Care & Rehabilitation Center located at 91 Tompkins Avenue, Staten Island, New York and entry into a ground lease of the Debtors' Bayley Seton Campus. Pursuant to the bidding procedures, and subject to court approval, the auction is currently scheduled for July 19, 2011, with bids due by July 15, 2011. Parties interested in conducting due diligence should contact Loeb & Troper LLP, 655 Third Avenue, 17th Floor, New York, New York 10017, Attn: David Adest, telephone: 212-697-3000, facsimile: 212-697-8893, email: dadest@loebandtroper.com, and Morgan Keegan, 630 Fifth Avenue, Suite 2950, New York, New York 10011, Attn: Thomas M. Barry, telephone 212-314-0367, email: tbarry@morgankeegan.com. A hearing on the bid procedures was scheduled for June 30, 2011. For a copy of the motion and all relevant transaction documents, please click here. For a copy of the order approving bidding procedures, please click here.

Omnibus Claims Objections


First Omnibus Objection of the Debtors and Debtors in Possession to Proofs Of Claim (Tier I – Duplicate Claims) [Docket No. 1594]

Second Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I – Duplicate Claims) [Docket No. 1622]

Third Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I – Claims Lacking Sufficient Documentation) [Docket No. 1623]

Fourth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims
(Tier I – Claims Improperly Classified as Administrative Priority Claims Under Section 503(b)(9) of the Bankruptcy Code) [Docket No. 1705]

Fifth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I – Claims That Have Been Released) [Docket No. 1706]

Sixth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I – Claims Lacking Sufficient Documentation) [Docket No. 1737]

Seventh Omnibus Objection of the Debtors and Debtors in Possession to Certain Pension Claims (Tier I – Pension Plan Claims) [Docket No. 1778]

Eighth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I – Claims Discharged in Prior Chapter 11 Case) [Docket No. 1779]

Ninth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I – Late Filed Claims) [Docket No. 1915]

Tenth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I – Claims Discharged in Prior Chapter 11 Case) [Docket No. 1928]

Eleventh Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I – Priority Claims in Excess of Statutory Cap) [Docket No. 1929]

Twelfth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I – Amended and Superseded Claims) [Docket No. 1930]

Thirteenth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I – Claims That Were Incorrectly Filed as Secured or Priority Claims) [Docket No. 1931]

Fourteenth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I – Claims That Were Incorrectly Filed as Secured or Priority Claims) [Docket No. 1932]

Fifteenth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I –Claims Improperly Filed as Administrative and/or Priority Claims) [Docket No. 1973]

Sixteenth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I – Priority Claims in Excess of Statutory Cap) [Docket No. 1974]

Seventeenth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I –Claims that were Incorrectly Filed as Secured and/or Priority Claims) [Docket No. 1975]

Eighteenth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I –Claims Lacking Supporting Documentation) [Docket No. 1976]

Nineteenth Omnibus Objection of the Debtors and Debtors In Possession to Certain Claims (Tier I – (A) Claims Lacking Supporting Documentation (B) Duplicate Claims (C) Claims Associated With a Terminated Pension Plan (D) Improperly Asserted Claims and (E) Late Filed Claims) [Docket No. 2177]

Twentieth Omnibus Objection of the Debtors and Debtors In Possession to Certain Claims (Tier I – Improperly Classified Claims) [Docket No. 2178]

Twenty-First Omnibus Objection of the Debtors and Debtors In Possession to Certain Claims (Tier I – Claims Discharged In Prior Chapter 11 Case) [Docket No. 2179]

Twenty-Second Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I – Improperly Classified Claims) [Docket No. 2263]

Twenty-Third Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I – (A) Claims Lacking Supporting Documentation and (B) Duplicate Claims) [Docket No. 2264]

Twenty-Fourth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I – Workers Compensation Claims) [Docket No. 2265]

Twenty-Fifth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I Claims Lacking Sufficient Documentation) [Docket No. 2305]

Twenty-Sixth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I (A) Duplicate Claims and (B) Amended and Superceded Claims) [Docket No. 2306]

Twenty-Seventh Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I Claims Discharged in Prior Chapter 11 Case) [Docket No. 2307]

Twenty-Eighth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I Improperly Classified Claims) [Docket No. 2392]

Twenty-Ninth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I (A) Claims Lacking Sufficient Documentation And (B) Duplicate Claims) [Docket No. 2393]

Thirtieth Omnibus Objection of the Debtors and Debtors in Possession to Certain Claims (Tier I – (A) Improperly Classified Claims, (B) Claims that Contradict the Debtors' Books and Records, (C) Cured Claims, and (D) Cured Scheduled Claims) [Docket No. 2509]

Thirty-First Omnibus Objection Of The Debtors And Debtors In Possession To Certain Claims (Tier I (A) Improperly Classified Claims, (B) Claim Amounts That Are Inconsistent With The Debtors Books And Records, and (C) Claims Lacking Sufficient Documentation) [Docket No. 2900]

Thirty-Second Omnibus Objection Of The Debtors And Debtors In Possession To Certain Claims (Tier I (A) Improperly Classified Claims, (B) Claim Amounts That Are Inconsistent With The Debtors Books And Records, And (C) Claims Lacking Sufficient Documentation) [Docket No. 2934]

Thirty-Third Omnibus Objection Of The Debtors And Debtors In Possession To Certain Claims (Tier I Claims Discharged In Prior Chapter 11 Case) [Docket No. 2935]

Thirty-Fourth Omnibus Objection of the Debtors And Debtors In Possession To Certain Claims (Tier I – (A) Improperly Classified Claims, (B) Claim Amounts That Are Inconsistent With The Debtors’ Books And Records, And (C) Claims Lacking Sufficient Documentation) [Docket No. 2944]

Thirty-Fifth Omnibus Objection Of Post-Effective Date SVCMC And The Liquidating Trustee To Certain Claims (Tier I –Claims That Contradict The Debtors’ Books And Records) [Docket No. 3145]

Thirty-Sixth Omnibus Objection Of Post-Effective Date SVCMC And The Liquidating Trustee To Certain Claims (Tier I –Claims That Contradict The Debtors’ Books And Records) [Docket No. 3146]

Thirty-Seventh Omnibus Objection Of Post-Effective Date SVCMC And The Liquidating Trustee To Certain Claims (Tier I –Claims That Contradict The Debtors’ Books And Records) [Docket No. 3147]

Thirty-Eighth Omnibus Objection Of Post-Effective Date SVCMC And The Liquidating Trustee To Certain Claims (Tier I –Claims That Contradict The Debtors’ Books And Records) [Docket No. 3148]

Thirty-Ninth Omnibus Objection Of Post-Effective Date SVCMC And The Liquidating Trustee To Certain Claims (Tier I –Claims That Contradict The Debtors’ Books And Records And Claims That Were Incorrectly Filed As Administrative Or Priority) [Docket No. 3149]

Fortieth Omnibus Objection Of Post-Effective Date SVCMC And The Liquidating Trustee To Certain Claims (Tier I –Claims That Contradict The Debtors’ Books And Records And Claims That Were Incorrectly Filed As Administrative Or Priority) [Docket No. 3150]

Forty-First Omnibus Objection Of Post-Effective Date SVCMC And The Liquidating Trustee To Certain Claims (Tier I –Claims That Contradict The Debtors’ Books And Records) [Docket No. 3151]

Forty-Second Omnibus Objection Of Post-Effective Date SVCMC And The Liquidating Trustee To Certain Claims (Tier I – (A) Improperly Classified Claims, (B) Claim Amounts That Are Inconsistent With The Debtors’ Books And Records, And (C) Claims Lacking Sufficient Documentation) [Docket No. 3152]

Supplemental Forty-Second Omnibus Objection of the Liquidating Trustee to Certain Claims (Tier I - (A) Improperly Classified Claims, (B) Claims That Have No Basis in the Debtors Books and Records, and (C) Claims That Have Been Satisfied) [Docket No. 3269]

Forty-Third Omnibus Objection of the Liquidating Trustee to Certain Claims (Tier I - Duplicative Claims and Claims That Have Been Satisfied or Released) [Docket No. 3270]

Forty-Fourth Omnibus Objection of the Liquidating Trustee to Certain Claims (Tier I Claims That Have No Basis in the Debtors Books and Records) [Docket No. 3355]

Forty-Fifth Omnibus Objection of the Liquidating Trustee to Certain Claims (Tier I Claims That Were Filed After the General Bar Date) [Docket No. 3356]

Forty-Sixth Omnibus Objection of the Liquidating Trustee to Certain Claims (Tier I Claims That Fail to State a Claim Against the Debtors Estates) [Docket No. 3357]

Forty-Seventh Omnibus Objection of the Liquidating Trustee to Certain Claims (Tier I Claims Lacking Sufficient Documentation) [Docket No. 3358]

Forty-Eighth Omnibus Objection of the Liquidating Trustee to Certain Claims (Tier I (A) Duplicate Claims; (B) Amended and Superseded Claim) [Docket No. 3359]

Forty-Ninth Omnibus Objection of the Liquidating Trustee to Certain Claims (Tier I - Duplicative Claims and Claims That Have Been Satisfied or Released) [Docket No. 3360]

Fiftieth Omnibus Objection of the Liquidating Trustee to Certain Claims (Tier II - Claims Subject to Disallowance Pursuant to Bankruptcy Code Section 502(e)(1)(B)) [Docket No. 3361]

Fifty-First Omnibus Objection of the Liquidating Trustee to Certain Claims (Tier I—Duplicative Claims and Claims that Have Been Satisfied or Released) [Docket No. 3417]

Fifty-Second Omnibus Objection of the Liquidating Trustee to Certain Claims (Tier I – (A) Claims that Have Been Amended and Superseded; (B) Claims that Contradict the Debtors’ Books and Records; (C) Claim Amounts that for Which the Debtors are Not Liable; (D) Claims that Lack Sufficient Documentation; (E) Improperly Classified Claims; and (F) Late Filed Claims) [Docket No. 3418]

Fifty-Third Omnibus Objection of the Liquidating Trustee to Certain Claims (Tier II—Claims That Fail to State a Valid Claim Against the Debtors’ Estates) [Docket No. 3427]

Fifty-Fourth Omnibus Objection of the Liquidating Trustee to Certain Claims (Tier I – (A) Improperly Classified Claims, (B) Claim Amounts that are Inconsistent with the Debtors’ Books and Records, and (C) Claims Lacking Sufficient Documentation) [Docket No. 3428]

Omnibus Claims Objection Orders


First Omnibus Order Disallowing Duplicate Claims (Tier I – Duplicate Claims) [Docket No. 1771]

Second Omnibus Order Disallowing Certain Duplicate Claims (Tier I – Duplicate Claims) [Docket No. 1772]

Third Omnibus Order Disallowing Certain Claims (Tier I – Claims Lacking Sufficient Documentation) [Docket No. 1773]

Fourth Omnibus Order Reclassifying Certain Claims
(Tier I – Claims Improperly Classified as Administrative Priority Claims Under Section 503(b)(9) of the Bankruptcy Code) [Docket No. 1846]

Fifth Omnibus Order Disallowing Certain Claims (Tier I – Claims That Have Been Released) [Docket No. 1847]

Sixth Omnibus Order Disallowing Certain Claims (Tier I – Lacking Supporting Documentation) [Docket No. 1848]

Seventh Omnibus Order Disallowing Certain Claims (Tier I – Claims of Individual Pension Plans) [Docket No. 1917]

Eighth Omnibus Order Disallowing Certain Claims (Tier I – Claims That Were Discharged in Prior Chapter 11 Plan) [Docket No. 1918]

Ninth Omnibus Order Disallowing Certain Claims (Tier I – Late Filed Claims) [Docket No. 2019]

Tenth Omnibus Order Disallowing Certain Claims (Tier I – Claims Discharged in Prior Chapter 11 Case) [Docket No. 2049]

Eleventh Omnibus Order Reducing and Reclassifying Certain Claims (Tier I –Priority Claims in Excess of Statutory Cap) [Docket No. 2050]

Twelfth Omnibus Order Disallowing Certain Claims (Tier I – Amended and Superseded Claims) [Docket No. 2051]

Thirteenth Omnibus Order Reducing, Expunging, and Reclassifying Certain Claims (Tier I – Claims That Were Incorrectly Filed as Secured, Administrative or Priority Claims) [Docket No. 2052]

Fourteenth Omnibus Order Reducing, Expunging, And Reclassifying Certain Claims (Tier I – Claims That Were Incorrectly Filed as Secured, Administrative or Priority Claims) [Docket No. 2053]

Fifteenth Omnibus Order Reducing and Reclassifying Certain Claims of Union Employees (Tier I – Claims That Were Incorrectly Filed as Administrative and/or Priority Claims) [Docket No. 2100]

Fifteenth Omnibus Order Reducing and Reclassifying Certain Claims of Non-Union Employees (Tier I – Claims That Were Incorrectly Filed as Administrative and/or Priority Claims) [Docket No. 2101]

Sixteenth Omnibus Order Reducing and Reclassifying Certain Claims of Union Employees (Tier I –Priority Claims In Excess Of Statutory Cap) [Docket No. 2098]

Sixteenth Omnibus Order Reducing and Reclassifying Certain Claims of Non-Union Employees (Tier I –Priority Claims In Excess Of Statutory Cap) [Docket No. 2099]

Seventeenth Omnibus Order Reducing, Expunging, and Reclassifying Certain Claims of Union Employees (Tier I – Claims That Were Incorrectly Filed As Secured and/or Priority Claims) [Docket No. 2103]

Seventeenth Omnibus Order Reducing, Expunging, and Reclassifying Certain Claims of Non-Union Employees (Tier I – Claims That Were Incorrectly Filed as Secured and/or Priority Claims) [Docket No. 2104]

Eighteenth Omnibus Order Disallowing Certain Claims (Tier I – Claims Lacking Sufficient Documentation) [Docket No. 2114]

Nineteenth Omnibus Order Disallowing Certain Claims (Tier I – (A) Claims Lacking Supporting Documentation (B) Duplicate Claims (C) Claims Associated with a Terminated Pension Plan (D) Improperly Asserted Claims and (E) Late Filed Claims) [Docket No. 2270]

Twentieth Omnibus Order Reclassifying Certain Claims (Tier I – Improperly Classified Claims) [Docket No. 2266]

Twenty-First Omnibus Order Disallowing Certain Claims (Tier I – Claims Discharged In Prior Chapter 11 Case) [Docket No. 2271]

Twenty-Second Omnibus Order Reclassifying Certain Claims (Tier I – Improperly Classified Claims) [Docket No. 2336]

Twenty-Third Omnibus Order Disallowing Certain Claims (Tier I – Claims Lacking Supporting Documentation and Duplicate Claims) [Docket No. 2335]

Twenty-Fourth Omnibus Order Disallowing Certain Claims (Tier I – Workers Compensation Claims) [Docket No. 2334]

Twenty-Fifth Omnibus Order Disallowing Certain Claims (Tier I - Claims Lacking Sufficient Documentation) [Docket No. 2448]

Twenty-Sixth Omnibus Order Disallowing Certain Claims (Tier I - (A) Duplicate Claims and (B) Amended and Superceded Claims) [Docket No. 2449]

Twenty-Seventh Omnibus Order Disallowing Certain Claims (Tier I - Claims Discharged in Prior Chapter 11 Case) [Docket No. 2450]

Twenty-Eighth Omnibus Order Reclassifying Certain Claims (Tier I - Improperly Classified Claims) [Docket No. 2500]

Amended Twenty-Ninth Omnibus Order Disallowing Certain Claims (Tier I – (A) Claims Lacking Sufficient Documentation And (B) Duplicate Claims) [Docket No. 2524]

Thirtieth Omnibus Order Reclassifying, Reducing and Allowing, or Expunging Certain Claims (Tier I – (A) Improperly Classified Claims, (B) Claims that Contradict the Debtors’ Books and Records, (C) Cured Claims, and (D) Cured Scheduled Claims) [Docket No. 2857]

Thirty-First Omnibus Order Reclassifying, Reducing And Allowing, Or Expunging Certain Claims (Tier I – (A) Improperly Classified Claims, (B) Claim Amounts That Are Inconsistent With The Debtors’ Books And Records, And (C) Claims Lacking Sufficient Documentation) [Docket No. 3029]

Thirty-Second Omnibus Order Reclassifying, Reducing And Allowing, Or Expunging Certain Claims (Tier I – (A) Improperly Classified Claims, (B) Claim Amounts That Are Inconsistent With The Debtors’ Books And Records, And (C) Claims Lacking Sufficient Documentation) [Docket No. 3062]

Thirty-Third Omnibus Order Disallowing Certain Claims (Tier I – Claims Discharged In Prior Chapter 11 Case) [Docket No. 3064]

Thirty-Fourth Omnibus Order Reclassifying, Reducing And Allowing, Or Expunging Certain Claims (Tier I – (A) Improperly Classified Claims, (B) Claim Amounts That Are Inconsistent With The Debtors’ Books And Records, And (C) Claims Lacking Sufficient Documentation) [Docket No. 3063]

Thirty-Fifth Omnibus Order Disallowing And Expunging Certain Claims (Tier I—Claims That Contradict The Debtors’ Books And Records) [Docket No. 3216]

Thirty-Sixth Omnibus Order Disallowing And Expunging Certain Claims (Tier I—Claims That Contradict The Debtors’ Books And Records) [Docket No. 3217]

Thirty-Seventh Omnibus Order Disallowing And Expunging Certain Claims (Tier I—Claims That Contradict The Debtors’ Books And Records) [Docket No. 3218]

Thirty-Eighth Omnibus Order Disallowing And Expunging Certain Claims (Tier I—Claims That Contradict The Debtors’ Books And Records) [Docket No. 3219]

Thirty-Ninth Omnibus Order Reclassifying And Reducing Certain Claims (Tier I –Claims That Contradict The Debtors’ Books And Records And Claims That Were Incorrectly Filed As Administrative Or Priority) [Docket No. 3220]

Fortieth Omnibus Order Reclassifying And Reducing Certain Claims (Tier I –Claims That Contradict The Debtors’ Books And Records And Claims That Were Incorrectly Filed As Administrative Or Priority) [Docket No. 3221]

Order Sustaining Supplemental Forty-Second Omnibus Objection To Certain Claims (Tier I – (A) Improperly Classified Claims, (B) Claims That Have No Basis In The Debtors’ Books And Records, And (C) Claims That Have Been Satisfied [Docket No. 3322]

Forty-Third Omnibus Order Disallowing And Expunging Certain Claims (Tier I –Duplicate Claims And Claims That Have Been Satisfied Or Released) [Docket No. 3326]

Order Sustaining Forty-Fourth Omnibus Objection to Certain Claims (Tier I – Claims that Have no Basis in the Debtors’ Books and Records) [Docket No. 3411]

Order Sustaining Forty-Fifth Omnibus Objection to Certain Claims (Tier I – Claims that were Filed After the General Bar Date) [Docket No. 3412]

Order Sustaining Forty-Sixth Omnibus Objection to Certain Claims (Tier I – Claims that Fail to State a Claim Against The Debtors’ Estates) [Docket No. 3413]

Forty-Seventh Omnibus Order Expunging Certain Claims (Tier I – Claims Lacking Sufficient Documentation) [Docket No. 3414]

Forty-Eighth Omnibus Order Expunging Certain Claims (Tier I – (A) Duplicate Claims; (B) Amended And Superseded Claim) [Docket No. 3415]

Forty-Ninth Omnibus Order Disallowing and Expunging Certain Claims (Tier I–Duplicate Claims And Claims that Have Been Satisfied or Released) [Docket No. 3416]

Fiftieth Omnibus Order Disallowing and Expunging Certain Claims [Docket No. 3473]

Fifty-First Omnibus Order Disallowing and Expunging Certain Claims [Docket No. 3474]

Fifty-Second Omnibus Order Adjusting, Reclassifying, and Disallowing Certain Claims [Docket No. 3475]

Order Granting Fifty-Third Omnibus Objection of the Liquidating Trustee to Certain Claims (Related Doc # [3427]) [Docket No. 3499]

Order Sustaining Fifth Supplemental Fifty-Fourth Omnibus Objection to Certain Claims (Tier I - Claims which are Inconsistent with the Debtors' Books and Records) [Docket No. 3803]

Notices of Resolved Claims

Debtors' First Notice of Consensually Resolved Claims [Docket No. 1621]

Debtors’ Second Notice of Consensually Resolved Claims [Docket No. 1863]

Debtors’ Third Notice of (I) Consensually Resolved and (II) Satisfied Claims [Docket No. 1927]

Debtors’ Fourth Notice of (I) Consensually Resolved Claims [Docket No. 2087]

Debtors’ Amended Fifth Notice of Resolved and Satisfied Claims [Docket No. 2157]

Debtors’ Sixth Notice of Resolved and Satisfied Claims [Docket No. 2183]

Debtors’ Seventh Notice of Resolved and Satisfied Claims [Docket No. 2274]

Debtors' Eighth Notice of Resolved and Satisfied Claims [Docket No. 2488]

Debtors Ninth Notice of Resolved and Satisfied Claims [Docket No. 2927]

Debtors Tenth Notice of Resolved and Satisfied Claims [Docket No. 3011]

Debtors Eleventh Notice of Resolved and Satisfied Claims [Docket No. 3092]

Debtors Twelfth Notice of Resolved and Satisfied Claims [Docket No. 3130]

Thirteenth Notice of Resolved Claims [Docket No. 3181]

Fourteenth Notice of Resolved Claims [Docket No. 3200]

Fifteenth Notice of Resolved Claims [Docket No. 3242]

Sixteenth Notice of Resolved Claims [Docket No. 3267]

Seventeenth Notice of Resolved Claims [Docket No. 3299]

Eighteenth Notice of Resolved Claims [Docket No. 3352]

Nineteenth Notice of Resolved Claims [Docket No. 3389]

Twentieth Notice of Resolved Claims [Docket No. 3429]

Twenty-First Notice of Resolved Claims [Docket No. 3477]

Twenty-Second Notice of Resolved Claims [Docket No. 3528]

Twenty-Third Notice of Resolved Claims [Docket No. 3544]

Twenty-Fourth Notice of Resolved Claims [Docket No. 3570]

Twenty-Fifth Notice of Resolved Claims [Docket No. 3680]

Twenty-Sixth Notice of Resolved Claims [Docket No. 3703]

Twenty-Seventh Notice of Resolved Claims [Docket No. 3734]

Twenty-Eighth Notice of Resolved Claims [Docket No. 3760]

Twenty-Ninth Notice of Resolved Claims [Docket No. 3781]

Thirtieth Notice of Resolved Claims [Docket No. 3813]

Thirty-First Notice of Resolved Claims [Docket No. 3836]

Thirty-Second Notice of Resolved Claims [Docket No. 3845]

Thirty-Third Notice of Resolved Claims [Docket No. 3891]

Medical Records Information

For information on how to obtain medical records from former SVCMC facilities please see www.svcmc.org.

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