ABT Molecular Imaging, Inc.

ABT Molecular Imaging, Inc.

Case Administration Website


Overview

Welcome to the ABT Molecular Imaging, Inc. Case Administration Website

On June 13th, 2018, ABT Molecular Imaging, Inc. (the "Debtor”) filed a voluntary petition for relief under chapter 11 of title 11 of the United States Code (the "Chapter 11 Case") in the United States Bankruptcy Court for the District of Delaware (the "Bankruptcy Court"). The case has been assigned to the Honorable Laurie Selber Silverstein. Copies of the Voluntary Petition and the First Day pleadings filed in the Chapter 11 Case are available by clicking on the Key Documents tab on the left hand side of this page.

Case Information

In re: ABT Molecular Imaging, Inc. (Case No. 18-11398)

Petition Date
June 13, 2018
Court Information
United States Bankruptcy Court District of Delaware 824 North Market Street Wilimington, DE 19801 Telephone: (302) 252-2900
Judge
Honorable Judge Laurie Selber Silverstein
Office of the United States Trustee
Office of the United States Trustee District of Delaware 844 King Street, Suite 2207 Lockbox 35 Wilmington, DE 19801 Telephone: (302) 573-6491 Facsimile: (302) 573-6497
Debtor's Legal Counsel
Bayard, P.A. 600 N. King St, Suite 400 Wilmington, DE 19801 Telephone: (302) 655-5000 Justin Alberto, Esq. Erin Fay, Esq. Daniel N. Brogan, Esq. Greg Flasser, Esq.
Debtor’s Financial Advisor
SSG Capital Advisors, LLC Five Tower Bridge, Suite 420 300 Barr Harbor Drive West Conshohocken, PA 19428 Telephone: (610) 940-1094
Claims and Noticing Agent
ABT Molecular Imaging, Inc. Case Administration c/o GCG P.O. Box 10598 Dublin, Ohio 43017-7298 Telephone: (866) 459-6078

Key Documents

Voluntary Petition
Debtor Name
Voluntary Petition
ABT Molecular Imaging, Inc.
Case No. 18-11398
First Day Pleadings
Document Name
Pleading
Debtor’s Application for an Order Appointing Garden City Group, LLC as Claims and Noticing Agent for the Debtor Pursuant to 28 U.S.C. § 156(c), 11 U.S.C. § 105(a). and Local Rule 2002-1(f) Nunc Pro Tunc to the Petition Date [Docket Nos. 2, 24]
Application Order
Motion of the Debtor for Entry of Interim and Final Orders Authorizing Payment of Certain Prepetition Employee-Related Claims and Granting Related Relief [Docket Nos. 4, 25, 60]
Motion Interim Order Amended Interim Order
Debtor’s Motion For Interim And Final Orders (I) Authorizing The Debtor To (A) Continue Prepetition Insurance Policies, (B) Pay All Prepetition Obligations in Respect Thereof, and (C) Authorizing Banks to Honor Related Checks and Transfers [Docket Nos. 6, 26]
Motion Interim Order
Motion for the Debtor for Entry of Interim and Final Orders (A) Authorizing the Debtor to Pay Prepetition Sales, Use, and Similar Taxes in the Ordinary Course of Business, and (B) Authorizing Banks and Financial Institutions to Honor and Process Checks and Transfer Related Thereto [Docket Nos. 7, 27]
Motion Interim Order
Motion of the Debtor Pursuant to Sections 105 and 366 of the Bankruptcy Code for Entry of Interim and Final Orders (I) Prohibiting Utility Companies from Altering, Refusing or Discontinuing Services to, or Discriminating Against, the Debtor (II) Determining that the Utility companies are Adequately Assured of Postpetition Payment, and (III) Establishing Procedures for Resolving Request for Additional Adequate Assurance [Docket Nos. 9, 28]
Motion Interim Order
Motion of the Debtor Pursuant to 11 U.S.C. §§ 105(a), 362 and 541 for Entry of Interim and Final Orders Establishing Notification Procedures and Approving Restrictions on Certain Transfers or, or Worthless Stock Deductions Regarding, Interests in the Debtor [Docket Nos. 10, 29]
Motion Interim Order
Motion of the Debtor for Entry of Interim and Final Orders Authorizing, but not Directing, Payment of Prepetition Claims of Critical Vendors Pursuant to 11 U.S.C §§ 363(B), 1107 and 1108, FED. R. BANKR. P. 6003 and 6004, and DEL. BANKR. P. 6003 [Docket Nos. 11, 30]
Motion Interim Order
Motion of the Debtor for Interim and Final Orders Under 11 U.S.C. §§ 105, 361, 362, 363, 364 and 507 (I) Authorizing the Debtor to (A) Obtain Postpetition Financing, and (B) Utilize Cash Collateral; (II) Granting Adequate Protection; (III) Scheduling Final Hearing Under Bankruptcy Rules 4001(b) and (c); and (IV) Granting Related Relief [Docket Nos. 12, 33]
Motion Interim Order
Declaration of Peter Kingma in Support of the Debtor’s Chapter 11 Petition and Requests for First Day Relief [Docket No. 13]
Declaration
Motion of the Debtor Pursuant to 11 U.S.C. §§ 105(A), 345, 363, 1107 and 1108 for Entry of an Order (I) Authorizing Maintenance of Existing Bank Account, and (II) Authorizing Continued Use of Existing Checks and Business Forms, and (III) Granting Limited Relief from the Requirements of Bankruptcy Code Section 345(b) and the United States Trustee Operating Guidelines [Docket Nos. 15, 34, 68]
Motion Interim Order Revised Proposed Final Order
Schedules of Assets and Liabilities and Statements of Financial Affairs
Debtor Name Case No. Schedules of Assets and Liabilities Statements of Financial Affairs
ABT Molecular Imaging, Inc. 18-11398 Docket No. 85 Docket No. 86
Plan and Disclosure Statement
Document Name
Pleading
Adjournment of Confirmation Hearing
Notice
Notice of Hearing to Consider Confirmation of Debtor’s Amended Plan of Reorganization Under Chapter 11 of the Bankruptcy Code
Notice of Hearing
Disclosure Statement for the Debtor’s Amended Plan of Reorganization Under Chapter 11 of the Bankruptcy Code
Amended Disclosure Statement
The Debtor’s Amended Plan of Reorganization Under Chapter 11 of the Bankruptcy Code
Amended Plan
Order (I) Approving Disclosure Statement, (II) Approving Voting and Tabulation Procedures, (III) Setting Confirmation Hearing and Related Deadlines and (IV) Granting Related Relief
Order
Notice of Hearing to Consider Approval of Disclosure Statement with Respect to Debtor’s Plan of Reorganization Under Chapter 11 of the Bankruptcy Code
Notice of Hearing
Disclosure Statement for the Debtor’s Plan of Reorganization Under Chapter 11 of the Bankruptcy Code
Disclosure Statement
The Debtor’s Plan of Reorganization Under Chapter 11 of the Bankruptcy Code
Plan
Notice of Deadlines for the Filing of Proofs of Claim
Document Name
Pleading
Order (I) Establishing a General Bar Date to File Proofs of Claim, (II) Establishing a Bar Date to File Proofs of Claim by Governmental Units, (III) Establishing an Amended Schedules Bar Date, (IV) Approving the Form and Manner for Filing Proofs of Claim, (VI) Approving the Proposed Notice of Bar Dates, and (VII) Granting Related Relief
Order
Motion of Debtor for Entry of Order (I) Establishing a General Bar Date to File proofs of Claim, (II) Establishing a Bar Date to File proofs of Claim by Governmental Units, (III) Establishing an Amended Scheduled Bar Date, (IV) Establishing a Rejection Damages Bar Date, (V) Approving the Form and Manner for Filing Proofs of Claim, (VI) Approving the Proposed Notice of Bar Dates, and (VII) Granting Related Relief
Motion

Sale Notice and Bidding Procedures

On July 16, 2018, the Bankruptcy Court for the District of Delaware entered an Order (A) approving bidding procedures for the sale of substantially all of the Debtor’s assets, (B) approving procedures for the assumption and assignment of executory contracts or unexpired leases in connection with the sale, (C) scheduling a sale hearing, and (iv) granting certain related relief.

Please refer to the below documents for additional details.

The Court has approved the following deadlines and schedule for the sale process:

Action Deadline
Sale Objection Deadline August 10, 2018 at 4:00 p.m. (ET)
Bid Deadline August 29, 2018 at 5:00 p.m. (ET)
Auction September 4, 2018 at 1:00 p.m. (ET)
Sale Hearing September 7, 2018 at 10:00 a.m. (ET)
Sale Closing Date To Be Determined

Scheduled Hearings

All hearings will be before the Honorable Laurie Selber Silverstein and are located at the below address unless otherwise noted:

United States Bankruptcy Court District of Delaware
United States Courthouse
824 North Market Street
3rd Floor
Wilmington, DE 19801

For more information, including information regarding telephonic appearances, please visit the Bankruptcy Court’s website at http://www.deb.uscourts.gov/general-information.



Hearing Date & Time Matters Scheduled to Be Heard
December 20, 2018
10:30 A.M. (ET)

  • Notice of Agenda [Docket No. 231]
Previous Hearings
To Be Determined

  • Adjournment of Confirmation Hearing [Docket No. 197]
  • The Debtor’s Amended Plan of Reorganization Under Chapter 11 of the Bankruptcy Code [Docket No. 184]
  • Notice of Hearing to Consider Confirmation of Debtor’s Amended Plan of Reorganization [Docket No. 186]
September 28, 2018
10:00 AM (ET)

  • Debtor’s Motion for an Order (I) Approving Disclosure Statement, (II) Approving Voting and Tabulation Procedures, and (III) Setting Confirmation Hearing and Related Deadlines and (IV) Granting Related Relief [Docket Nos. 119, 139, 145, 161]
August 24, 2018
10:00 AM (ET)

  • Motion of the Debtor for Entry of (I) an Order (A) Approving Bidding Procedures for the Sale of Substantially All of the Debtor’s Assets, (B) Approving Procedures for the Assumption and Assignment of Executory Contracts or Unexpired Leases in Connection with the Sale, (C) Scheduling a Sale Hearing, and (D) Granting Certain Related Relief; and (II) an Order (A) Approving the Sale of the Debtor’s Assets, (B) Approving the Assumption and Assignment of Certain Executory Contracts and Unexpired Leases, and (C) Granting Certain Related Relief [Docket Nos. 45, 138]
August 17, 2018
11:00 AM (ET)

  • Debtor’s Application for Order Approving the Employment of LBMC, PC as Accountants to the Debtor Nunc Pro Tunc to the Petition Date and Waiving Certain of the Requirements of Local Rule 2016-2(h) [Docket No. 84]
  • Sale Hearing
July 16, 2018
2:00 PM (ET)

June 14, 2018
1:00 PM (ET)

August 24, 2018
10:00 AM (ET)

Disclaimer

This website is created and maintained by Garden City Group, LLC ("GCG"), the claims and noticing agent for ABT Molecular Imaging, Inc. (the "Debtor"). The information contained on this website is provided for informational purposes only and should not be construed as legal, financial or other professional advice or, unless expressly stated, as the Debtors' or GCG's official position on any subject matter. Users of this website should not take or refrain from taking any action based upon content included in the website without seeking legal counsel on the particular facts and circumstances at issue from a licensed attorney.

The Debtor and GCG do not guarantee or warrant the accuracy, completeness or currency of the information that is provided herein, and shall not be liable to you for any loss or injury arising out of, or caused in whole or in part by, the acts, errors or omissions of the Debtor or GCG, whether negligent or otherwise, in procuring, compiling, collecting, interpreting, reporting, communicating or delivering the information contained on this website. The Debtor and GCG expressly do not undertake any obligation to update, modify, revise or re-categorize the information provided herein, or to notify you or any third party, should the information be updated, modified, revised or re-categorized. In no event shall the Debtor or GCG be liable to you or any third party for any direct, indirect, incidental, consequential or special damages (including, but not limited to, damages arising from the disallowance of a potential claim against the Debtor, or damages to business reputation, lost business or lost profits), whether foreseeable or not and however caused, even if the Debtor or GCG are advised of the possibility of such damages. This website should not be relied on as a substitute for financial, legal or other professional advice.

It is your sole obligation to maintain accurate records of the documents filed in the chapter 11 case, based on the Court's docket relating to the Debtor's chapter 11 case, which can be accessed through the Court's website at http://www.deb.uscourts.gov/general-information (a PACER login and password are needed to view these documents and can be obtained at http://pacer.gov). The Debtor's website is being made available merely as a convenience to interested parties and the public.

Electronic mail or other communications through this website, or otherwise, to the Debtor, its counsel, or GCG in connection with these, or other, matters will not be treated as privileged or confidential. Transmission and receipt of the information in this website and/or communication with the Debtor or Debtor’s counsel via email is not intended to solicit or create, and does not create, an attorney-client relationship between Debtor’s counsel and any person or entity. The Debtor and GCG do not endorse or warrant, and are not responsible for, any third-party content that may be accessed from this website.

The Debtor and GCG make no claim to original U.S. Government works. Neither the Debtor, or any of its respective directors, officers, employees, members, attorneys, consultants, advisors or agents (acting in such capacity), including GCG (collectively, the "Exculpated Parties"), shall have or incur any liability to any entity, (all references to "entity" herein shall be as defined in section 101(15) of the Bankruptcy Code, "Entity"), for any act taken or omitted to be taken in connection with the preparation, dissemination or implementation of this website; provided however, that the foregoing shall not affect the liability of any Exculpated Party protected pursuant to this paragraph that otherwise would result from any such act or omission to the extent that such act or omission, is determined in a final, non-appealable order to have constituted a breach of fiduciary duty, gross negligence or willful misconduct, including, without limitation, fraud and criminal misconduct, or the breach of any confidential agreement or order. Without limiting the foregoing, the exculpation provided in this paragraph shall be coextensive with any Exculpated Party's qualified immunity under applicable law.