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Notice of Agenda Cancelling February 4, 2026 Hearing — Covington & Burling LLP v. Vyaire Medical, Inc.

Date
2026-02-03

Summary

A notice of agenda filed February 3, 2026 as Doc 1156 in the Vyaire Medical Chapter 11 case, Case No. 24-11217 (BLS), in the United States Bankruptcy Court for the District of Delaware, captioned in the adversary proceeding 25-52381 (BLS) brought by Covington & Burling LLP and Reed Smith LLP against the wind-down debtors, Plan Administrator David M. Barse and John Doe Liquidating Trust. The notice cancels the matters scheduled for hearing on February 4, 2026, with the permission of the Court. The only matter listed as not going forward is the pretrial conference in the adversary proceeding. Its status line states that an Agreed Scheduling Order filed 2/2/26 resolves the matter and no hearing is required. It is filed by Ciardi Ciardi & Astin as special counsel to the defendants.

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Full text

                    Case 24-11217-BLS          Doc 1156        Filed 02/03/26        Page 1 of 2



                           IN THE UNITED STATES BANKRUPTCY COURT
                                FOR THE DISTRICT OF DELAWARE

    In re:                                                 Chapter 11

    VYAIRE MEDICAL, INC., et al.,1                         Case No. 24-11217 (BLS)

                                 Debtor.


    COVINGTON & BURLING LLP 2 and
    REED SMITH LLP,

                         Plaintiffs,
                                                           Adv. Proc. No.: 25-52381 (BLS)
             v.

    VYAIRE MEDICAL, INC. and VYAIRE
    HOLDING CO., as WIND-DOWN
    DEBTORS, DAVID M. BARSE, in his
    capacity as Plan Administrator of Vyaire
    Medical, Inc., and JOHN DOE
    LIQUIDATING TRUST,

                         Defendants.


       NOTICE OF AGENDA CANCELLING MATTERS SCHEDULED FOR HEARING ON
                        FEBRUARY 4, 2026, AT 10:00 A.M. ET


                                 THIS MATTER HAS BEEN CANCELLED
                                 WITH THE PERMISSION OF THE COURT

      I.          MATTERS NOT GOING FORWARD:


      1. Pretrial Conference in A.P. No. 25-52381 (BLS).



1
  The chapter 11 case is now being administered by the Plan Administrator pursuant to the terms of the Findings of Fact,
Conclusions of Law, and Order Approving he Debtors’ Disclosure Statement for and Confirming the Second Amended Joint
Chapter 11 Plan of Vyaire Medical, Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code [Docket
No. 745]. The Plan Administrator’s mailing address is Vyaire Medical, Inc., Attn: David M. Barse, Plan Administrator, c/o
Cole Schotz P.C., 500 Delaware Avenue, Suite 600, Wilmington, DE 19801.
2
  Capitalized, yet undefined, terms herein have the meaning ascribed to them in the Plaintiff’s Complaint [Adversary Docket
No. 1] or the Plan [Docket No.348].
      Case 24-11217-BLS        Doc 1156     Filed 02/03/26    Page 2 of 2



Response Deadline: N/A

Responses Received: N/A

Related Documents: Agreed Scheduling Order [filed 2/2/26, D.I. 23].

Status: An Agreed Scheduling Order has been entered resolving this matter and no hearing is
required.


  Dated: February 3, 2026                       CIARDI CIARDI & ASTIN
         Wilmington, Delaware

                                                /s/ John D. McLaughlin, Jr.
                                                John D. McLaughlin, Jr. (No. 4123)
                                                1204 N. King Street
                                                Wilmington, Delaware 19801
                                                (302) 658-1100 telephone
                                                (302)658-1300 facsimile
                                                jmclaughlin@ciardilaw.com

                                                -and-

                                                Albert A. Ciardi, III, Esquire
                                                (Admitted pro hac vice)
                                                Walter W. Gouldsbury III, Esquire
                                                Philadelphia, PA 19103
                                                (215) 557-3550 telephone
                                                (215) 557-3551 facsimile
                                                aciardi@ciardilaw.com
                                                wgouldsbury@ciardilaw.com

                                                 Special Counsel to the
                                                 Defendants


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