Pandemic Darlings The pandemic economy, in original documents
Home Source documents Declaration Of Disinterestedness

Declaration Of Disinterestedness

Date
2024-08-08

Summary

A Declaration of Disinterestedness of Hyman, Phelps & McNamara P.C., filed August 8, 2024 as Doc 358 in In re Vyaire Medical, Inc., et al., Case No. 24-11217 (BLS), jointly administered Chapter 11 cases in the U.S. Bankruptcy Court for the District of Delaware. It relates to Docket No. 225 and is made by the firm's Managing Director under the order authorizing the Debtors to retain professionals utilized in the ordinary course of business. It states that the firm has agreed to provide legal services to the Debtors, that insofar as the declarant has been able to ascertain it holds no interest adverse to the Debtors or their estates on those matters, and that it will not share its compensation outside the firm. It reports that the Debtors owe the firm $ 5,557.50 for prepetition services, that the firm has waived or will waive prepetition claims, and that it was retained in February 2022.

Summary drafted by a model from the document's text below and checked by script against that text before publication. It is a navigation aid, not a reading of what the document proves. Where AI is used

Full text

Docusign Envelope ID: 1F1C6B12-B312-4857-9C30-63869B8F9827
                                Case 24-11217-BLS             Doc 358       Filed 08/08/24        Page 1 of 3




                                       IN THE UNITED STATES BANKRUPTCY COURT
                                            FOR THE DISTRICT OF DELAWARE

                                                                            )        Chapter 11
                 In re:                                                     )
                                                                            )        Case No. 24-11217 (BLS)
                 VYAIRE MEDICAL, INC., et al.,1                             )
                                                                            )        (Jointly Administered)
                                           Debtors.                         )
                                                                            )        Re: Docket No. 225

                                 DECLARATION OF DISINTERESTEDNESS
                                 OF HYMAN, PHELPS & MCNAMARA P.C.
                                       PURSUANT TO THE ORDER
                         AUTHORIZING THE DEBTORS TO RETAIN AND COMPENSATE
                      PROFESSIONALS UTILIZED IN THE ORDINARY COURSE OF BUSINESS

             I, JAMES P. ELLISON, declare under penalty of perjury:

                          1.     I am the Managing Director of Hyman, Phelps & McNamara P.C., located at 700

             13th Street, NW, Ste 1200, Washington, DC 20005 (the “Firm”).

                          2.     Vyaire Medical, Inc. and certain of its affiliates, as debtors and debtors in

             possession (collectively, the “Debtors”), have requested that the Firm provide legal services to

             the Debtors, and the Firm has consented to provide such services.


                          3.     The Firm may have performed services in the past, may currently perform services,

             and may perform services in the future in matters unrelated to these chapter 11 cases for persons

             that are parties in interest in the Debtors’ chapter 11 cases. The Firm does not, however, perform

             services for any such person relating to these chapter 11 cases, or have any relationship with any

             such person, their attorneys, or their accountants that would be adverse to the Debtors or their

             estates.



             1
                  The last four digits of Debtor Vyaire Medical, Inc.’s federal tax identification number are 6495. A complete list
                   of each of the Debtors in these chapter 11 cases and each such Debtor’s federal tax identification number may be
                   obtained on the website of the Debtors’ claims and noticing agent at https://omniagentsolutions.com/Vyaire. The
                   location of Debtor Vyaire Medical, Inc.’s principal place of business and the Debtors’ service address in these
                   chapter 11 cases is 26125 North Riverwoods Boulevard, Mettawa, Illinois, USA 60045.
Docusign Envelope ID: 1F1C6B12-B312-4857-9C30-63869B8F9827
                              Case 24-11217-BLS              Doc 358   Filed 08/08/24   Page 2 of 3




                        4.    As part of its customary practice, the Firm is retained in cases, proceedings, and

             transactions involving many different parties, some of whom may represent or be employed by the

             Debtors, claimants, and parties in interest in these chapter 11 cases.

                        5.    Neither I nor any principal, partner, director, or officer of, or professional employed

             by, the Firm has agreed to share or will share any portion of the compensation to be received from

             the Debtors with any other person other than the principal and regular employees of the Firm.

                        6.    Neither I nor any principal, partner, director, or officer of, or professional employed

             by, the Firm, insofar as I have been able to ascertain, holds or represents any interest adverse to

             the Debtors or their estates with respect to the matter(s) upon which the Firm is to be employed.

                        7.    The Debtors owe the Firm $ 5,557.50 for prepetition services, the payment of

             which is subject to the limitations contained in title 11 of the United States Code, 11 U.S.C. §§

             101–1532. The Firm has waived, or will waive, any prepetition claims against the Debtors’

             estates.

                        8.    As of the Petition Date, which was the date on which the Debtors commenced

             these chapter 11 cases, the Firm was retained to provide professional services to the Debtors. The

             Firm was retained in February 2022.

                        9.    As of the Petition Date, which was the date on which the Debtors commenced these

             chapter 11 cases, the Firm was not party to an agreement for indemnification with certain of the

             Debtors.

                        10.   The Firm is conducting further inquiries regarding its retention by any creditors of

             the Debtors, and upon conclusion of that inquiry, or at any time during the period of its

             employment, if the Firm should discover any facts bearing on the matters described herein, the

             Firm will supplement the information contained in this Declaration.




                                                                   2
Docusign Envelope ID: 1F1C6B12-B312-4857-9C30-63869B8F9827
                             Case 24-11217-BLS               Doc 358   Filed 08/08/24   Page 3 of 3




                     Pursuant to 28 U.S.C. § 1746, I declare under penalty of perjury that the foregoing is true

             and correct.

              Date: August 8, 2024

                                                                  JAMES P. ELLISON
                                                                  Managing Director
                                                                  Hyman, Phelps & McNamara P.C.




                                                                   3


File and source

File
gov.uscourts.deb.193283.358.0.pdf
Size
456,168 bytes
SHA-256
26b0acc93588c006950bb3773066ee1282d4476c55a48d8b0e8736eafc2e9ae6
Our copy
gov.uscourts.deb.193283.358.0.pdf
Original
PACER (login required)
Back to top