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Full title: Notice Regarding Notice Regarding Second Amended Schedule of Executory Contracts To Be Rejected By The Debtors Pursuant To The Plan (RE: related document(s)1035 Notice of Filing of Plan Supplement in Connection with the Fourth Amended Joint Chapter 11 Plan of Reorganization for Wave Computing, Inc. and Its Debtor Affiliates Dated Dec. 1, 2020 (RE: related document(s)846 Fourth Amended Joint Chapter 11 Plan ). (Attachments: # 1 Exhibit A - Org Chart)). Filed by Debtor Wave Computing, Inc. (Attachments: # 1 Exhibit A # 2 Exhibit B # 3 Exhibit C # 4 Exhibit D # 5 Exhibit E # 6 Exhibit F # 7 Exhibit G # 8 Exhibit H # 9 Exhibit I # 10 Exhibit J # 11 Exhibit K thru O # 12 Exhibit P), 1045 Notice Regarding Executory Contracts To Be Rejected By The Debtors Pursuant To The Plan (RE: related document(s)846 Fourth Amended Joint Chapter 11 Plan of Reorganization for Wave Computing, Inc. and Its Debtor Affiliates, 848 Fifth Amended Disclosure Statement for the Joint Chapter 11 Plan of Reorganization for Wave Computing, Inc. and Its Debtor Affiliates Filed by Debtor Wave Computing, Inc., 859 Order (I) Approving the Adequacy of the Fifth Amended Disclosure Statement, and (II) Granting Related Relief, 1035 Notice of Filing of Plan Supplement in Connection with the Fourth Amended Joint Chapter 11 Plan of Reorganization for Wave Computing, Inc. and Its Debtor Affiliates Dated Dec. 1, 2020). Filed by Debtor Wave Computing, Inc., 1063 Fifth Amended Joint Chapter 11 Plan of Reorganization for Wave Computing, Inc. and Its Debtor Affiliates Filed by Debtor Wave Computing, Inc. (RE: related document(s) 846 Amended Chapter 11 Plan filed by Debtor Wave Computing, Inc.). (Attachments: # 1 Exhibit A - Org Chart)). Filed by Debtor Wave Computing, Inc. (Attachments: # 1 Exhibit 1 # 2 Exhibit 2) (Newman, Samuel) (Entered: 02/05/2021)

Document posted on Feb 4, 2021 in the bankruptcy, 5 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

Honorable M. Elaine Hammond 2 Via Zoom Video 3 PLEASE TAKE NOTICE that on December 4, 2020, the United States Bankruptcy Court f4 the Northern District of California entered (a) an order [Docket No. 859] (the “Disclosure Stateme 5 Order”): approving the Disclosure Statement for the Joint Chapter 11 Plan of Reorganization fo 6 Wave Computing, Inc. and its Debtor Affiliates [Docket No. 848] (as may be amended, supplemente7 or modified from time to time, the “Disclosure Statement”), in connection with the Debtors’ Joi 8 Chapter 11 Plan of Reorganization of Wave Computing, Inc. and its Debtor Affiliates [Docket N9 1129] (including all exhibits thereto and as may be amended, modified, or supplemented from time t10 time, the “Plan”);2 and (b) an order approving (i) the solicitation and voting procedures, (ii) approvin11 the solicitation materials and documents to be included in the solicitation packages (the “Solicitatio12 Package”); and (iii) approving procedures for soliciting, receiving, and tabulating votes on the Pla13 and for filing objections to the Plan 3 PLEASE TAKE FURTHER NOTICE that on January 15, 2021, the Debtors filed the Notic 4 Regarding Amended Schedule of Executory Contracts To Be Rejected By The Debtors Pursuant to th 5 PlanAny Claims arising fro9 the rejection of an Executory Contract or Unexpired Lease not filed within such time will b10 automatically disallowed, forever barred from assertion, and shall not be enforceable again11 the Debtors or the Reorganized Debtors, their Estates, or their property without the need fo12 any objection by the Reorganized Debtors or further notice to, or action, order, or approval 13 the Court.14 PLEASE TAKE FURTHER NOTICE that the Rejected Executory Contracts Schedule ma15 be amended, modified and/or supplemented from time to time until the Confirmation Hearin16 provided, however, that the objection procedures herein shall apply to any amended, modified, and/17 supplemented Rejected Executory Contracts Schedule; provided further, that the procedures for filin18 proofs of claim for claims based on asserted rejection damages shall also apply to any such amende19 modified, and/or supplemented Rejected Executory Contracts Schedule.20 PLEASE TAKE FURTHER NOTICE that if you would like to obtain a copy of th21 Disclosure Statement, the Plan, the Plan Supplement, or related documents, you should contact Donli22 Recano & Company, Inc. (the “Voting Agent”) by: (a) writing to Donlin, Recano & Company, Inc23 Re: Wave Computing, Inc. et al.

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1 SIDLEY AUSTIN LLP Samuel A. Newman (SBN 217042) 2 (sam.newman@sidley.com) Genevieve G. Weiner (SBN 254272) 3 (gweiner@sidley.com) Julia Philips Roth (SBN 324987) 4 (julia.roth@sidley.com) 555 West Fifth Street 5 Los Angeles, CA 90013 Telephone: 213.896.6000 6 Facsimile: 213.896.6600 7 SIDLEY AUSTIN LLP Charles M. Persons (admitted pro hac vice) 8 (cpersons@sidley.com) Juliana Hoffman (admitted pro hac vice) 9 (jhoffman@sidley.com) Jeri Leigh Miller (admitted pro hac vice) 10 (jeri.miller@sidley.com) 2021 McKinney Avenue 11 Suite 2000 Dallas, TX 75201 12 Telephone: 214.981.3300 Facsimile: 214.981.3400 13 Attorneys for Debtors and Debtors in 14 Possession 15 UNITED STATES BANKRUPTCY COURT 16 NORTHERN DISTRICT OF CALIFORNIA 17 SAN JOSE DIVISION 18 In re: ) Case No. 20-50682 (MEH) 19 ) WAVE COMPUTING, INC., et al., ) Chapter 11 (Jointly Administered) 20 ) Debtors.1 ) NOTICE REGARDING SECOND 21 ) AMENDED SCHEDULE OF ) EXECUTORY CONTRACTS TO BE 22 ) REJECTED BY THE DEBTORS ) PURSUANT TO THE PLAN 23 ) ) Related to Docket Nos.: 1035, 1045, 1063, 24 ) 1066 25 ) Date: February 10, 2021 26 1 The Debtors in these chapter 11 cases are Wave Computing, Inc., MIPS Tech, Inc., Hellosoft, Inc27 Wave Computing (UK) Limited, Imagination Technologies, Inc., Caustic Graphics, Inc., and MIPTech, LLC. The Debtors’ mailing address is 3201 Scott Blvd, Santa Clara, CA 95054. 28

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1 Time: 10:15 a.m. (Pacific Time) Judge: Honorable M. Elaine Hammond 2 Via Zoom Video 3 PLEASE TAKE NOTICE that on December 4, 2020, the United States Bankruptcy Court f4 the Northern District of California entered (a) an order [Docket No. 859] (the “Disclosure Stateme 5 Order”): approving the Disclosure Statement for the Joint Chapter 11 Plan of Reorganization fo 6 Wave Computing, Inc. and its Debtor Affiliates [Docket No. 848] (as may be amended, supplemente7 or modified from time to time, the “Disclosure Statement”), in connection with the Debtors’ Joi 8 Chapter 11 Plan of Reorganization of Wave Computing, Inc. and its Debtor Affiliates [Docket N9 1129] (including all exhibits thereto and as may be amended, modified, or supplemented from time t10 time, the “Plan”);2 and (b) an order approving (i) the solicitation and voting procedures, (ii) approvin11 the solicitation materials and documents to be included in the solicitation packages (the “Solicitatio12 Package”); and (iii) approving procedures for soliciting, receiving, and tabulating votes on the Pla13 and for filing objections to the Plan [Docket No. 860] (the “Solicitation Procedures Order”). 14 PLEASE TAKE FURTHER NOTICE that under the terms of Article V of the Plan and i15 furtherance of the Restructuring, except as otherwise provided in the Plan or in the Confirmatio16 Order, each Executory Contract shall be deemed automatically assumed by the applicable Debtor a17 of the Effective Date other than those contracts and leases that are identified on the Rejected Executor18 Contracts Schedule. For the avoidance of doubt, the Debtors’ assumption and rejection procedure19 described herein shall not apply to the Backup Bidder (as defined in the Sale Motion3) in the event o20 an Asset Sale. 21 PLEASE TAKE FURTHER NOTICE that on January 12, 2021, the Debtors filed the Notic22 Regarding Executory Contracts To Be Rejected By The Debtors Pursuant to the Plan [Docket N23 1045]. 24 25 2 Capitalized terms used but not otherwise defined herein shall have the meanings ascribed to sucterms in the Plan. 26 3 See Debtors' Motion for Entry of An Order Conditionally (i) Authorizing the Sale of the Assets of 27 the Debtors Free and Clear of All Liens, Claims, Encumbrances, and Other Interests, (ii) Approvinthe Stalking Horse Agreement, (iii) Authorizing the Assumption and Assignment of Executory

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1 PLEASE TAKE FURTHER NOTICE that on January 15, 2021, the Debtors filed a2 amended Plan [Docket No. 1063]. 3 PLEASE TAKE FURTHER NOTICE that on January 15, 2021, the Debtors filed the Notic 4 Regarding Amended Schedule of Executory Contracts To Be Rejected By The Debtors Pursuant to th 5 Plan [Docket No. 1066] (the “First Amended Schedule”). 6 PLEASE TAKE FURTHER NOTICE that attached hereto as Exhibit 1 is a further revise 7 Rejected Executory Contracts Schedule showing the Executory Contracts to be rejected by the Debtor8 pursuant to the Plan. 9 PLEASE TAKE FURTHER NOTICE that attached hereto as Exhibit 2 is a redlin10 reflecting changes from the First Amended Schedule. 11 PLEASE TAKE FURTHER NOTICE that you are receiving this notice because th12 Debtors’ records reflect that you are a party to a contract that is listed on the Rejected Executor13 Contracts Schedule attached hereto as Exhibit 1 or are being removed from the list in the Fir14 Amended Schedule, as reflected in the redline attached hereto as Exhibit 2. Therefore, you are advise15 to review carefully the information contained in this notice and the related provisions of the Pla16 including the Rejected Executory Contracts Schedule. 17 PLEASE TAKE FURTHER NOTICE that if you are listed in Exhibit 1, below, the Debtor18 are proposing to reject the Executory Contract(s) below to which you are a party. The details of suc19 contracts are included in Exhibit 1 attached hereto. 20 PLEASE TAKE FURTHER NOTICE THAT YOU ARE RECEIVING THIS NOTICE BECAUSE THE DEBTORS’ RECORDS REFLECT THAT YOU ARE A PARTY TO AN 21 EXECUTORY CONTRACT THAT WILL BE REJECTED PURSUANT TO THE PLAN. THEREFORE, YOU ARE ADVISED TO REVIEW CAREFULLY THE INFORMATION 22 CONTAINED IN THIS NOTICE AND THE RELATED PROVISION OF THE PLAN. 23 PLEASE TAKE FURTHER NOTICE that, unless otherwise ordered by the Cour24 objections, if any, to the proposed rejection of the Executory Contract to which you are a party mu25 be filed with the Court and served so as to be actually received by the Debtors no later than 5:00 p. 26 (Pacific Time) on the date that is fourteen (14) days after the date such Rejected Executor27

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1 Contracts Schedule is filed. If you fail to object in a timely manner to the proposed rejection wit2 respect to any Executory Contract, you will be deemed to have assented to such rejection. 3 PLEASE TAKE FURTHER NOTICE that all proofs of Claim with respect to Claims arisin4 from the rejection of Executory Contracts, if any, must be filed with the Court no later than 5:00 p. 5 (Pacific Time) on the date that is thirty (30) days after the date of entry of an order of the Cou6 (including the Confirmation Order) approving such rejection. All Allowed Claims arising from th7 rejection of the Debtors’ Executory Contracts shall be classified as General Unsecured Claims again8 the appropriate Debtor, except as otherwise provided by order of the Court. Any Claims arising fro9 the rejection of an Executory Contract or Unexpired Lease not filed within such time will b10 automatically disallowed, forever barred from assertion, and shall not be enforceable again11 the Debtors or the Reorganized Debtors, their Estates, or their property without the need fo12 any objection by the Reorganized Debtors or further notice to, or action, order, or approval 13 the Court. 14 PLEASE TAKE FURTHER NOTICE that the Rejected Executory Contracts Schedule ma15 be amended, modified and/or supplemented from time to time until the Confirmation Hearin16 provided, however, that the objection procedures herein shall apply to any amended, modified, and/17 supplemented Rejected Executory Contracts Schedule; provided further, that the procedures for filin18 proofs of claim for claims based on asserted rejection damages shall also apply to any such amende19 modified, and/or supplemented Rejected Executory Contracts Schedule. 20 PLEASE TAKE FURTHER NOTICE that if you would like to obtain a copy of th21 Disclosure Statement, the Plan, the Plan Supplement, or related documents, you should contact Donli22 Recano & Company, Inc. (the “Voting Agent”) by: (a) writing to Donlin, Recano & Company, Inc23 Re: Wave Computing, Inc. et al., P.O. Box 199043, Blythebourne Station, Brooklyn, NY 11219; (b24 calling the Debtors’ restructuring hotline at (877) 476-4390 if within the United States; (c) emailin25 wavecompinfo@donlinrecano.com and requesting paper copies of the corresponding material26 previously received in electronic format; or (d) visiting the Debtors’ restructuring website 27 https://www.donlinrecano.com/Clients/wave/Index. You may also obtain copies of any pleading

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1 ARTICLE IX OF THE PLAN CONTAINS RELEASE, EXCULPATION, AND INJUNCTION 2 PROVISIONS, AND SECTION IX.D CONTAINS A THIRD PARTY RELEASE. THUS, YOU ARE ADVISED TO REVIEW AND CONSIDER THE PLAN CAREFULLY BECAUSE 3 YOUR RIGHTS MIGHT BE AFFECTED THEREUNDER. 4 THIS NOTICE IS BEING SENT TO YOU FOR INFORMATIONAL PURPOSES ONLY. IF YOU HAVE QUESTIONS WITH RESPECT TO YOUR RIGHTS UNDER THE PLAN 5 OR ABOUT ANYTHING STATED HEREIN OR IF YOU WOULD LIKE TO OBTAIN 6 ADDITIONAL INFORMATION, CONTACT THE VOTING AGENT. 7 8 9 Dated: February 5, 2021 Respectfully submitted, SIDLEY AUSTIN LLP 10 /s/ Samuel A. Newman 11 Samuel A. Newman 12 Charles M. Persons Juliana L. Hoffman 13 Attorneys for Debtors and 14 Debtors in Possession 15 16 17 18 19 20 21 22 23 24 25 26 27