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Full title: Notice of Appearance. Filed by Gordon Food Service, Inc.. (Werkheiser, Gregory)

Document posted on Nov 16, 2021 in the bankruptcy, 3 pages and 0 tables.

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AMENDED NOTICE OF APPEARANCE AND REQUEST FOR SERVICE PLEASE TAKE NOTICE that Ice Miller LLP and Benesch, Friedlander, Coplan & Aronoff LLP hereby enter their appearance (the “Notice of Appearance”) in the above-captioned case as counsel for Gordon Food Service, Inc. (“GFS”), pursuant to sections 342 and 1109(b) of title 11 of the United States Code, 11 U.S.C §§ 101-1532 (as amended, the “Bankruptcy Code”), and Rules 2002, 3017, 9007 and 9010 of the Federal Rules of Bankruptcy Procedure (as amended, the “Bankruptcy Rules”), and request that copies of any and all notices and papers filed or entered in these cases be given to and served upon the following: Jason M. Torf, Esq.ICE MILLER LLP BENESCH, FRIEDLANDER, COPLAN 200 W. Madison Street, Suite 3500 & ARONOFF LLP Chicago, IL 60606 1313 N. Market St., Suite 1201 The location of Gulf Coast Health Care, LLC’s corporate headquarters and the Debtors’ service address is 9511 Holsberry Lane, Suite B11, Pensacola, FL 32534.Email: john.cannizzaro@icemiller.com PLEASE TAKE FURTHER NOTICE that this constitutes not only a request for service of the notices and papers referred to in the Bankruptcy Rules specified above, but also includes, without limitation, a request for service of all orders and notices of any application, motion, petition, pleading, request, complaint, or demand, whether formal or informal, whether written or oral, and whether transmitted or conveyed by mail, courier service, hand delivery, telephone, facsimile transmission, telegraph, telex, or otherwise, that (1) affects or seeks to affect in any way any rights or interests of any creditor or party in interest in these cases, with respect to (a) any or all of the above-captioned debtors in the above-captioned case (each, a “Debtor” and collectively, the “Debtors”) and any related adversary proceedings, whether currently pending or later commenced; (b) property of the Debtors’ estates,’ or proceeds thereof, in which any Debtor may claim an interest; or (c) property or proceeds thereof in the possession, custody, or control of others that any Debtor may seek to use; or (2) requires or seeks to require any act or other conduct by a party in interest.Notice of Appearance and any subsequent appearance, pleading, claim, or suit is not intended nor shall be deemed to waive the rights of GFS: (1) to have an Article III judge adjudicate in the first instance any case, proceeding, matter, or controversy as to which a bankruptcy judge may not enter a final order or judgment consistent with Article III of the United States Constitution; (2) to have final orders in a non-core case, proceeding, matter, or controversy entered only after an opportunity to object to proposed findings of fact and conclusions of law and a de novo review by a district court judge; (3) to trial by jury in any case, proceeding, matter, or controversy so triable; (4) to have the reference withdrawn by the United States District Court in any cas

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE ) In re: ) Chapter 11 ) GULF COAST HEALTHCARE, LLC, et al.,1 ) Case No. 21-11336 (KBO) ) Debtors. ) (Jointly Administered) ) Re: Dkt. No. 93 ) AMENDED NOTICE OF APPEARANCE AND REQUEST FOR SERVICE PLEASE TAKE NOTICE that Ice Miller LLP and Benesch, Friedlander, Coplan & Aronoff LLP hereby enter their appearance (the “Notice of Appearance”) in the above-captioned case as counsel for Gordon Food Service, Inc. (“GFS”), pursuant to sections 342 and 1109(b) of title 11 of the United States Code, 11 U.S.C §§ 101-1532 (as amended, the “Bankruptcy Code”), and Rules 2002, 3017, 9007 and 9010 of the Federal Rules of Bankruptcy Procedure (as amended, the “Bankruptcy Rules”), and request that copies of any and all notices and papers filed or entered in these cases be given to and served upon the following: Jason M. Torf, Esq. Gregory W. Werkheiser, Esq. ICE MILLER LLP BENESCH, FRIEDLANDER, COPLAN 200 W. Madison Street, Suite 3500 & ARONOFF LLP Chicago, IL 60606 1313 N. Market St., Suite 1201 Facsimile: (312) 726-6214 Wilmington, Delaware 19801 Telephone: (312) 726-6244 Telephone: (302) 442-7010 Email: jason.torf@icemiller.com Facsimile: (302) 442-7012 Email: gwerkheiser@beneschlaw.com John C. Cannizzaro, Esq. ICE MILLER LLP 250 West Street, Suite 700 Columbus, OH 43215 Facsimile: (614) 232-6923 1 The last four digits of Gulf Coast Health Care, LLC’s federal tax identification number are 9281. A complete list of the Debtors and the last four digits of their respective federal tax identification numbers may be obtained on the website of the Debtors’ claims and noticing agent at https://dm.epiq11.com/GulfCoastHealthCare. The location of Gulf Coast Health Care, LLC’s corporate headquarters and the Debtors’ service address is 9511 Holsberry Lane, Suite B11, Pensacola, FL 32534.

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Telephone: (614) 462-1070 Email: john.cannizzaro@icemiller.com PLEASE TAKE FURTHER NOTICE that this constitutes not only a request for service of the notices and papers referred to in the Bankruptcy Rules specified above, but also includes, without limitation, a request for service of all orders and notices of any application, motion, petition, pleading, request, complaint, or demand, whether formal or informal, whether written or oral, and whether transmitted or conveyed by mail, courier service, hand delivery, telephone, facsimile transmission, telegraph, telex, or otherwise, that (1) affects or seeks to affect in any way any rights or interests of any creditor or party in interest in these cases, with respect to (a) any or all of the above-captioned debtors in the above-captioned case (each, a “Debtor” and collectively, the “Debtors”) and any related adversary proceedings, whether currently pending or later commenced; (b) property of the Debtors’ estates,’ or proceeds thereof, in which any Debtor may claim an interest; or (c) property or proceeds thereof in the possession, custody, or control of others that any Debtor may seek to use; or (2) requires or seeks to require any act or other conduct by a party in interest. PLEASE TAKE FURTHER NOTICE that this Notice of Appearance and any subsequent appearance, pleading, claim, or suit is not intended nor shall be deemed to waive the rights of GFS: (1) to have an Article III judge adjudicate in the first instance any case, proceeding, matter, or controversy as to which a bankruptcy judge may not enter a final order or judgment consistent with Article III of the United States Constitution; (2) to have final orders in a non-core case, proceeding, matter, or controversy entered only after an opportunity to object to proposed findings of fact and conclusions of law and a de novo review by a district court judge; (3) to trial by jury in any case, proceeding, matter, or controversy so triable; (4) to have the reference withdrawn by the United States District Court in any case, proceeding, matter, or controversy

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subject to mandatory or discretionary withdrawal; or (5) any other rights, claims, actions, defenses, setoffs, or recoupments to which GFS is or may be entitled under agreements, in law, or in equity, all of which rights, claims, actions, defenses, setoffs, and recoupments expressly are hereby reserved. Dated: November 17, 2021 BENESCH, FRIEDLANDER, COPLAN & Wilmington, Delaware ARONOFF LLP /s/ Gregory W. Werkheiser Gregory W. Werkheiser (DE #3553) 1313 N. Market Street, Suite 1201 Wilmington, Delaware 19801 Telephone: (302) 442-7010 Facsimile: (302) 442-7012 Email: gwerkheiser@beneschlaw.com -and- Jason M. Torf, Esq. ICE MILLER LLP 200 W. Madison Street, Suite 3500 Chicago, IL 60606 Facsimile: (312) 726-6214 Telephone: (312) 726-6244 Email: jason.torf@icemiller.com -and- John C. Cannizzaro, Esq. ICE MILLER LLP 250 West Street, Suite 700 Columbus, OH 43215 Facsimile: (614) 232-6923 Telephone: (614) 462-1070 Email: john.cannizzaro@icemiller.com Counsel to Gordon Food Service, Inc.

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