Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 1 of 27 Page ID #:13581

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1 Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 1 of 27 Page ID #:13581

2 Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 2 of 27 Page ID #:13582

3 Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 3 of 27 Page ID #:13583

4 Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 4 of 27 Page ID #:13584

5 Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 5 of 27 Page ID #:13585 Exhibit A

6 Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 6 of 27 Page ID #:13586 October 20, 2016 «First» «Last» «Company» «Address_1» «Address_2» «City», «State» «Zip» Norton Rose Fulbright US LLP 555 South Flower Street Forty-First Floor Los Angeles, California United States Jeffrey Margulies Partner Direct line jeff.margulies@nortonrosefulbright.com Tel Fax nortonrosefulbright.com Re: Notice of Proposed Class Action Settlement Pursuant to 28 U.S.C Dear «First» «Last»: NORTON ROSE FULBRIGHT LLP represents Hyland s, Inc., Standard Homeopathic Laboratories, Inc., and Standard Homeopathic Company (collectively, Hyland s ) in a consolidated class action lawsuit entitled Enzo Forcellati and Lisa Roemmich, on behalf of themselves and all others similarly situated, v. Hyland s, Inc., Standard Homeopathic Laboratories, Inc., and Standard Homeopathic Company, Case No. 2:12-cv GHK (MRW). The lawsuit is pending before the Honorable George H. King in the United States District Court for the Central District of California. This letter is to advise you that Plaintiffs filed a Motion for Preliminary Approval of Class Action Settlement in connection with this class action lawsuit on October 14, Case Name: Case Number: Jurisdiction: Enzo Forcellati, et al., v. Hyland s, Inc., et al. 2:12-cv GHK (MRW) United States District Court, Central District of California Date Settlement Filed with Court: October 14, 2016 Hyland s denies any wrongdoing or liability whatsoever, but has decided to settle this action solely in order to eliminate the burden, expense, and uncertainties of further litigation. In compliance with 28 U.S.C. 1715(b), the following documents referenced below are included on the CD that is enclosed with this letter: U.S.C. 1715(b)(1) Complaint and Related Materials: Copies of the Class Action Complaint, Defendants Hyland s Inc., Standard Homeopathic Laboratories, Inc., and Standard Homeopathic Company s Answer to Class Action Complaint, Consolidated Amended Class Action Complaint, Defendants Norton Rose Fulbright US LLP is a limited liability partnership registered under the laws of Texas. Norton Rose Fulbright US LLP, Norton Rose Fulbright LLP, Norton Rose Fulbright Australia, Norton Rose Fulbright Canada LLP and Norton Rose Fulbright South Africa Inc are separate legal entities and all of them are members of Norton Rose Fulbright Verein, a Swiss verein. Norton Rose Fulbright Verein helps coordinate the activities of the members but does not itself provide legal services to clients. Details of each entity, with certain regulatory information, are available at nortonrosefulbright.com.

7 Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 7 of 27 Page ID #:13587 «First» «Last» October 20, 2016 Page 2 Hyland s Inc., Standard Homeopathic Laboratories, Inc., and Standard Homeopathic Company s Answer to Consolidated Amended Class Action Complaint, and Plaintiffs Notice of Motion for Leave to File a Second Amended Consolidated Class Action Complaint are included on the enclosed CD Rom U.S.C. 1715(b)(2) Notice of Any Scheduled Judicial Hearing: As of October 20, 2016, the Court has not yet scheduled a final fairness hearing in this matter. Plaintiffs filed Plaintiffs Notice of Motion for Preliminary Approval of Class Action Settlement requesting that a hearing take place on November 29, 2016, at 9:30 a.m. in Courtroom 650 before the Honorable George H. King. Copies of Plaintiffs Notice of Motion for Preliminary Approval of Class Action Settlement, Plaintiffs Memorandum in Support of Motion for Preliminary Approval of Class Action Settlement, Declaration of L. Timothy Fisher in Support of Plaintiffs Motion for Preliminary Approval, Declaration of Enzo Forcellati in Support of Plaintiffs Motion for Preliminary Approval, Declaration of Lisa Roemmich-Conrey in Support of Plaintiffs Motion for Preliminary Approval, Declaration of Patrick M. Passarella Regarding Notice and Settlement Administration, and [Proposed] Preliminary Approval Order are included on the enclosed CD Rom U.S.C. 1715(b)(3) Notification to Class Members: Copies of the Claim Form, Long Form Notice, Postcard Notice, and Short Form Publication Notice to be provided to the class are included on the enclosed CD Rom U.S.C. 1715(b)(4) Class Action Settlement Agreement: A copy of the Stipulation of Settlement is included on the enclosed CD Rom. For your convenience, a copy of the Mediator s Proposal is also provided on the enclosed CD Rom U.S.C. 1715(b)(5) Any Settlement or Other Agreement: As of October 20, 2016, no other settlement or agreement has been entered into by the parties to this Action U.S.C. 1715(b)(6) Final Judgment: No Final Judgment has been reached as of October 20, 2016, nor have any Notices of Dismissal been granted at this time. A copy of the [Proposed] Settlement Approval Order and Final Judgment is included on the enclosed CD Rom U.S.C. 1715(b)(7)(A)-(B) Names of Class Members/Estimate of Class Members: While Hyland s is in the process of gathering information on this issue, pursuant to 28 U.S.C. 1715(b)(7)(A), at this time a complete list of names of class members as well as each State of residence is not available, because the parties do not presently know the names or current addresses of all

8 Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 8 of 27 Page ID #:13588 «First» «Last» October 20, 2016 Page 3 the proposed settlement class members and will not learn this information until the Settlement is preliminarily approved and the Court authorizes dissemination of information about the Settlement through the Class Notice. Further, pursuant to 28 U.S.C. 1715(b)(7)(B), it is not feasible to estimate the number of class members since the notice has not yet been authorized and disseminated to the public U.S.C. 1715(b)(8) Judicial Opinions Related to the Settlement: As the proposed Settlement is still pending final approval by the Court, there are no other opinions available at this time. As of October 20, 2016, there has been no written judicial opinion related to the settlement. If for any reason you believe the enclosed information does not fully comply with 28 U.S.C. 1715, please contact the undersigned at either jeff.margulies@nortonrosefulbright.com or (213) immediately so that Hyland s can address any concerns or questions you may have. Thank you. Very truly yours, Jeffrey Margulies JBM

9 Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 9 of 27 Page ID #:13589 Exhibit B

10 Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 10 of 27 Page ID #:13590 Last First Company Address 1 Address 2 City State Zip Richards Craig W. Office of the Alaska Attorney General P.O. Box Juneau AK Strange Luther Office of the Alabama Attorney General 501 Washington Avenue PO Box Montgomery AL Rutledge Leslie Arkansas Attorney General Office 323 Center Street, Suite 200 Little Rock AR Brnovich Mark Office of the Arizona Attorney General 1275 W. Washington Street Phoenix AZ CAFA Coordinator Office of the Attorney General Consumer Law Section 455 Golden Gate Ave., Suite San Francisco CA Coffman Cynthia Office of the Colorado Attorney General Ralph L. Carr Colorado Judicial Center 1300 Broadway, 10th Floor Denver CO Jepsen George State of Connecticut Attorney General's Office 55 Elm Street Hartford CT 6106 Racine Karl A. District of Columbia Attorney General 441 4th Street, NW, Suite 1100S Washington DC Lynch Loretta E. Attorney General of the United States United States Department of Justice 950 Pennsylvania Avenue, NW Washington DC Denn Matt Delaware Attorney General Carvel State Office Building 820 N. French Street Wilmington DE Bondi Pam Office of the Attorney General of Florida The Capitol, PL-01 Tallahassee FL Olens Sam Office of the Georgia Attorney General 40 Capitol Square, SW Atlanta GA Chin Douglas S. Office of the Hawaii Attorney General 425 Queen Street Honolulu HI Miller Tom Iowa Attorney General Hoover State Office Building 1305 E. Walnut Street Des Moines IA Wasden Lawrence State of Idaho Attorney General's Office Statehouse 700 W Jefferson St Boise ID Madigan Lisa Illinois Attorney General James R. Thompson Center 100 W. Randolph Street Chicago IL Zoeller Greg Indiana Attorney General's Office Indiana Government Center South 302 West Washington Street, 5th Floor Indianapolis IN Schmidt Derek Kansas Attorney General 120 S.W. 10th Ave., 2nd Floor Topeka KS Conway Jack Office of the Kentucky Attorney General 700 Capitol Ave Capitol Building, Suite 118 Frankfort KY Caldwell James D. Office of the Louisiana Attorney General P.O. Box Baton Rouge LA Healey Maura Office of the Attorney General of Massachusetts 1 Ashburton Place Boston MA Frosh Brian Office of the Maryland Attorney General 200 St. Paul Place Baltimore MD Mills Janet Office of the Maine Attorney General State House Station 6 Augusta ME Schuette Bill Office of the Michigan Attorney General P.O. Box W. Ottawa Street Lansing MI Lori Swanson Attorney General Attention: CAFA Coordinator 1400 Bremer Tower 445 Minnesota Street St. Paul MN Koster Chris Missouri Attorney General's Office Supreme Court Building 207 W. High Street Jefferson City MO Hood Jim Mississippi Attorney General's Office Department of Justice P.O. Box 220 Jackson MS Fox Tim Office of the Montana Attorney General Justice Bldg. 215 N. Sanders Street Helena MT Cooper Roy Office of the North Carolina Attorney General Department of Justice P.O. Box 629 Raleigh NC Stenehjem Wayne North Dakota Office of the Attorney General State Capitol 600 E. Boulevard Avenue Bismarck ND Peterson Doug Office of the Nebraska Attorney General State Capitol P.O. Box Lincoln NE Foster Joseph A. New Hampshire Attorney General State House Annex 33 Capitol Street Concord NH Hoffman John Jay Office of the New Jersey Attorney General Richard J. Hughes Justice Complex 25 Market Street, P.O. Box 080 Trenton NJ Balderas Hector Office of the New Mexico Attorney General P.O. Drawer 1508 Santa Fe NM Laxalt Adam Paul Nevada Attorney General Old Supreme Ct. Bldg. 100 North Carson Street Carson City NV Schneiderman Eric Office of the New York Attorney General Department of Law The Capitol, 2nd Floor Albany NY DeWine Mike Ohio Attorney General State Office Tower 30 E. Broad Street Columbus OH Pruitt Scott Oklahoma Office of the Attorney General 313 NE 21st Street Oklahoma City OK Rosenblum Ellen F. Office of the Oregon Attorney General Justice Building 1162 Court Street, NE Salem OR Kane Kathleen Pennsylvania Office of the Attorney General 1600 Strawberry Square Harrisburg PA Kilmartin Peter Rhode Island Office of the Attorney General 150 South Main Street Providence RI Wilson Alan South Carolina Attorney General Rembert C. Dennis Office Bldg. P.O. Box Columbia SC Jackley Marty J. South Dakota Office of the Attorney General 1302 East Highway 14, Suite 1 Pierre SD Slatery, III Herbert H. Tennessee Attorney General and Reporter 425 5th Avenue North Nashville TN Paxton Ken Attorney General of Texas Capitol Station P.O. Box Austin TX Reyes Sean Utah Office of the Attorney General State Capitol, Room N State St Salt Lake City UT Herring Mark Office of the Virginia Attorney General 900 East Main Street Richmond VA Sorrell William H. Office of the Attorney General of Vermont 109 State Street Montpelier VT Ferguson Bob Washington State Office of the Attorney General 1125 Washington St SE P.O. Box Olympia WA Schimel Brad Office of the Wisconsin Attorney General Dept of Justice, State Capitol, RM 114 East P.O. Box 7857 Madison WI Morrisey Patrick West Virginia Attorney General State Capitol 1900 Kanawha Blvd E Charleston WV Michael Peter K. Office of the Wyoming Attorney General State Capitol Bldg. 200 W 24th St Cheyenne WY Ale Talauega Eleasalo V. American Samoa Attorney General Exec. Ofc. Bldg, Utulei Territory of American Samoa Pago Pago AS Barrett-Anderson Elizabeth Attorney General Office 590 S. Marine Corps Drive ITC Bldg, Suite 706 Tamuning Guam Manibusan Edward Northern Mariana Islands Attorney General Administration Building PO Box Saipan MP Miranda-Rodriguez Cesar R. Puerto Rico Attorney General P.O. Box San Juan San Juan PR Walker Claude E. Department of Justice Virgin Islands Attorney General Kronprindsens Gade, GERS Bldg, 2nd Floor St. Thomas VI Margulies Jeffrey Norton Rose Fulbright LLP 555 South Flower St Forty-First Floor Los Angeles CA 90071

11 Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 11 of 27 Page ID #:13591 Exhibit C

12 Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 12 of 27 Page ID #:13592 Jeanne Chernila From: Sent: To: Cc: Subject: Attachments: Jeanne Chernila Tuesday, November 01, :08 PM Stroup, Stephanie HFO - Forcellati v. Hylands CAFA information (USDC, Central District of California, Case No. 2:12-CV GHK(MRW)) HFO - CAFA_ zip Hello Ms. Brooke, Counsel reached out to me regarding the CD you received in the CAFA mailing for the above referenced matter. I am sorry you received a damaged (blank) CD. I have attached the same documentation as was provided on the CD Rom in a zip file to this message, please let me know if you have any difficulty accessing the information. Thank you, Jeanne M. Chernila Jeanne M. Chernila Project Manager, Class Action Services KCC office mobile

13 Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 13 of 27 Page ID #:13593 Exhibit D

14 Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 14 of 27 Page ID #:13594 «ClaimID» LEGAL NOTICE If You Purchased Certain Hyland s Homeopathic Products, You Could Receive a Cash Payment as Part of a Proposed Class Action Settlement Forcellati v. Hyland s Inc., Case No. 12-cv-1983-ODW (MRW) WHAT IS THIS NOTICE ABOUT? A lawsuit is pending in the United States District Court, Central District of California, (the Action ) that may affect your rights. The Action claims that Hyland s Inc., Standard Homeopathic Laboratories Inc., and Standard Homeopathic Company ( Hyland s ) made false and misleading statements about the effectiveness of the following Hyland s products: (i) Cold n Cough 4 Kids, (ii) Cough Syrup with 100% Natural Honey, (iii) Sniffles n Sneezes 4 Kids, (iv) Cold Relief Strips 4 Kids with Zinc, (v) Nighttime Cold n Cough 4 Kids, (vi) Complete Flu Care 4 Kids, (vii) Baby Teething Gel, (viii) Baby Cough Syrup, (ix) Baby Gas Drops, (x) Baby Infant Earache Drops, and (xi) Baby Nighttime Tiny Cold Syrup ( Class Products ). Hyland s denies this claim. The Court has not ruled in favor of Plaintiffs or Hyland s. Instead, the parties agreed to a Proposed Settlement to avoid the expense and risks of continuing the lawsuit. AM I A MEMBER OF THE CLASS? The class is defined as: All persons in the United States who purchased the following Hyland s products from March 8, 2008 through March 30, 2017: (i) Cold n Cough 4 Kids, (ii) Cough Syrup with 100% Natural Honey, (iii) Sniffles n Sneezes 4 Kids, (iv) Cold Relief Strips 4 Kids with Zinc, (v) Nighttime Cold n Cough 4 Kids, (vi) Complete Flu Care 4 Kids, (vii) Baby Teething Gel, (viii) Baby Cough Syrup, (ix) Baby Gas Drops, (x) Baby Infant Earache Drops, and (xi) Baby Nighttime Tiny Cold Syrup. WHAT DOES THE SETTLEMENT PROVIDE? Subject to Court approval, the parties have agreed to a settlement under which Hyland s will pay a full refund for Class Products purchased from March 8, 2008 through March 30, You may submit a claim for a full refund of either (a) a maximum of two units of the products that you bought but do not have a proof of purchase for, and/or (b) each product you purchased for which you can provide a proof of purchase (the Settlement Benefit ). WHAT ARE MY RIGHTS? You have a choice of whether to stay in the Class or not, and you must decide this now. If you stay in the Class, you will be legally bound by all orders and judgments of the Court, and you won t be able to sue, or continue to sue, Hyland s as part of any other lawsuit involving the same claims in this lawsuit. This is true even if you do nothing by not submitting a claim. 1. You Can Accept the Settlement. Class Members who wish to receive Settlement Benefits must submit claims by June 28, You can get a Claim Form (1) on the Internet at (2) by calling , or (3) by mailing a request for a Claim Form to Hyland s Products Litigation Administrator, P.O. Box 43462, Providence RI Read the instructions carefully, fill out the form, and submit it online on or before June 28, Alternatively, you may also submit a Claim Form by mailing it to the following address: Hyland s Products Litigation Administrator, P.O. Box 43462, Providence RI It must be postmarked no later than June 28, If you fail to submit a timely Claim Form and do not exclude yourself from the settlement, then you will be bound by the settlement but will not receive any Settlement Benefits. HFONTE2

15 Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 15 of 27 Page ID #: You Can Object to the Settlement. If you believe the settlement is unsatisfactory, you may file a written objection with the Clerk of the Court for the Central District of California by June 28, 2017, and send copies to the following Counsel representing the Class and Hyland s: Plaintiffs Counsel L. Timothy Fisher Bursor & Fisher, P.A N. California Blvd. Suite 940 Walnut Creek, CA Hyland s Counsel Jeffrey Margulies Norton Rose Fulbright LLP 555 South Flower St., Forty-First Floor Los Angeles, CA You Can Opt Out of the Settlement. If you exclude yourself from the Class which is sometimes called opting out of the Class you won t get any Settlement Benefits from the Proposed Settlement. You will also be responsible for any attorney s fees and costs you incur if you choose to pursue your own lawsuit. Such notice shall be in writing and include your name, current address, signature, and a statement that you want to be excluded from the lawsuit Forcellati v. Hyland s Inc., Case No. 12-cv-1983 ODW (MRW), no later than June 28, Send the written notice to Hyland s Products Litigation Administrator, P.O. Box 43462, Providence RI THE FAIRNESS HEARING On August 14, 2017, at 1:30 p.m., the Court will hold a hearing in the United States District Court for the Central District of California to determine: (1) whether the Proposed Settlement is fair, reasonable and adequate and should receive final approval; and (2) whether the application for Plaintiffs attorneys fees and expenses should be granted. Objections to the Proposed Settlement by Class Members will be considered by the Court, but only if such objections are filed in writing with the Court and sent to Plaintiffs and Hyland s counsel by June 28, Class Members who support the Proposed Settlement do not need to appear at the hearing or take any other action to indicate their approval. You may hire your own lawyer; however, if you do, you will be responsible for paying that lawyer on your behalf. HOW CAN I GET MORE INFORMATION? If you have questions or want more information about this lawsuit and your rights, visit You may also contact Class Counsel at info@bursor.com, or by writing to: Hyland s Products Litigation Administrator, P.O. Box 43462, Providence RI , or by calling Para una notificación en Español, visite nuestro sitio de Web, Please do not contact the Court or Clerk for information. By order of the United States District Court for the Central District of California

16 Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 16 of 27 Page ID #:13596 Exhibit E

17 :12-cv ODW-MRW Document Filed 06/19/17 Page 17 of 27 Pa Hyland s Products LEGAL NOTICE #:13597 Litigation Administrator P.O. Box WHAT IS THIS NOTICE ABOUT? Providence RI A lawsuit is pending in the United States District Court, Central District of California, entitled Forcellati v. Hyland s Inc., Case No. 12-cv ODW (MRW) (the Action ) that may affect your rights. The Action claims that Hyland s Inc., Standard Homeopathic Laboratories Inc., and Standard Homeopathic Company ( Hyland s ) made false and misleading statements about the effectiveness of certain Hyland s products for children and babies. Defendants deny these claims. The Court did not rule in favor of Plaintiffs or Defendants. Instead, the parties agreed to a Proposed Settlement. HFO «Barcode» Postal Service: Please do not mark barcode Claim#: HFO-«ClaimID»-«MailRec» «First1» «Last1» «CO» «Addr2» «Addr1» «City», «St» «Zip» «Country»

18 :12-cv ODW-MRW Document Filed 06/19/17 Page 18 of 27 Pa AM I A MEMBER OF THE CLASS? The class is defined as: All persons in the United States who purchased the following Hyland s products from March 8, 2008 through March 30, 2017: (i) Cold n Cough 4 Kids, (ii) Cough Syrup with 100% Natural Honey, (iii) Sniffles n Sneezes 4 Kids, (iv) Cold Relief Strips 4 Kids with Zinc, (v) Nighttime Cold n Cough #: Kids, (vi) Complete Flu Care 4 Kids, (vii) Baby Teething Gel, (viii) Baby Cough Syrup, (ix) Baby Gas Drops, (x) Baby Infant Earache Drops, and (xi) Baby Nighttime Tiny Cold Syrup. WHAT DOES THE SETTLEMENT PROVIDE? Subject to Court approval, the parties have agreed to a settlement under which Hyland s will pay a full refund for Class Products purchased from March 8, 2008 through March 30, You may submit a claim for a full refund of either (a) a maximum of two units of the products that you bought but do not have a proof of purchase for, and/or (b) each product you purchased for which you can provide a proof of purchase (the Settlement Benefit ). WHAT ARE MY RIGHTS? You have a choice of whether to stay in the Class or not, and you must decide this now. 1. You Can Accept the Settlement. Class Members who wish to receive Settlement Benefits, including full refunds, must submit a Claim Form by June 28, How do I get a Claim Form to get a refund? (1) on the Internet at (2) by calling , or (3) by mailing a request for a Claim Form to Hyland s Products Litigation Administrator, P.O. Box 43462, Providence RI Read the instructions carefully, fill out the form, and submit it online on or before June 28, Alternatively, you may also submit a Claim Form by mailing it to the following address: Hyland s Products Litigation Administrator, P.O. Box 43462, Providence RI It must be postmarked no later than June 28, If you fail to submit a timely Claim Form and do not exclude yourself from the settlement, then you will be bound by the settlement but will not receive any Benefits. 2. You Can Object to the Settlement. You can ask the Court to deny approval by filing an objection with the Court. You can t ask the Court to order a larger settlement; the Court can only approve or deny the settlement. If the Court denies approval, no settlement payments will be sent out and the lawsuit will continue. If that is what you want to happen, you must object. You may hire your own lawyer to appear in Court for you if you wish; however, if you do, you will be responsible for paying that lawyer on your behalf. Objections to the Proposed Settlement will be considered by the Court only if such objections are filed in writing by June 28, 2017 with the Clerk of the Court, United States District Court, Central District of California, 255 East Temple St., Los Angeles, CA 90012, and send copies to the following Counsel representing the Class and Hyland s: (1) Plaintiffs Counsel, L. Timothy Fisher, Bursor & Fisher, P.A., 1990 N. California Blvd. Suite 940 Walnut Creek, CA 94596; (2) Defendants Counsel, Jeffrey Margulies, Norton Rose Fulbright LLP, 555 South Flower St., Forty-First Floor, Los Angeles, CA For more information about what to include in your objection, visit 3. You Can Opt Out of the Settlement. If you exclude yourself from the Class which is sometimes called opting out of the Class you won t get any Settlement Benefits from the Proposed Settlement. For more information about opting-out of the Class, visit THE FAIRNESS HEARING. On August 14, 2017, at 1:30 p.m., the Court will hold a hearing in the United States District Court for the Central District of California to determine: (1) whether the Proposed Settlement is fair, reasonable and adequate and should receive final approval; and (2) whether the application for Plaintiffs attorneys fees and expenses should be granted. Objections to the Proposed Settlement by Class Members will be considered by the Court, but only if such objections are filed in writing with the Court and sent to Plaintiffs and Hyland s counsel by June 28, Class Members who support the Proposed Settlement do not need to appear at the hearing or take any other action to indicate their approval. You may hire your own lawyer; however, if you do, you will be responsible for paying that lawyer on your behalf. HOW CAN I GET MORE INFORMATION? If you have questions or want more information about this lawsuit and your rights, visit You may also contact Class Counsel at info@bursor.com, or by writing to: Hyland s Products Litigation Administrator, P.O. Box 43462, Providence RI , or by calling Para una notificación en Español, visite nuestro sitio de Web, By Order of the United States District Court for the Central District of California.

19 Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 19 of 27 Page ID #:13599 Exhibit F

20 4D LIFE World War II has inspired dozens of unforgettable novels, but Jessica Shattuck offers a mesmerizing new look at the aftermath of the war in The Women in the Castle (William Morrow, 356 pp., eeeg out of four). The fictional Marianne von Lingenfels is a widow of the German Resistance. After failing to assassinate Adolf Hitler in 1944, her husband Albrecht and his friend Martin Constantine Fledermann (known as Connie) are hanged; their deaths, the result of a real-life plot against the Führer, set the novel s events in motion. As Germany is slowly wrested from the Nazis grip, the formidable Marianne pries Connie s toddler son from a cruel German orphanage and rescues Connie s comely young widow, Benita, from an occupying Russian soldier who holds her captive. An American soldier alerts Marianne to another widow, Ania, just freed with her sons from a camp for displaced persons. The women make a home for their fatherless boys in the USA TODAY THURSDAY, MARCH 30, 2017 These Women struggle with life after Nazis Jessica Shattuck s novel finds a fresh angle on post-war angst in Germany Patty Rhule Special for USA TODAY BOOK REVIEW Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 20 of 27 Page ID #:13600 DOROTHEA VON HAEFTEN Jessica Shattuck uses flashbacks in new book. castle Marianne inherited from Albrecht that once hosted Germany s finest. In vivid flashbacks, Shattuck reveals the wartime anguish all three women endured. But peacetime has its own tortures, as neighbors who were once Nazis make an uneasy return to postwar life. Stoic, hard-working Ania is the most compelling of the three women. Her sullen sons are hard workers but cast a troubling pall on the castle. Benita, who wed and was widowed young, soon connects with a German prisoner who has been released to help Marianne maintain the castle grounds. But the self-righteous, manipulative Marianne is horrified that Benita widow of a Resistance hero could be attracted to Herr Muller, who, like many Germans, was a Nazi. Marianne s strength and resilience get her through the war and its brutal aftermath, but her narrow-mindedness has harsh consequences for those she loves. Shattuck s observations of Germans returning to post-war routines are stinging: The townspeople fished and washed in the river and walked alongside it in the evenings. No one spoke of the prisoners they had watched stumble and die along its banks. Survivors do what they must to carry on, but all three women are haunted by the choices they made during the war. Shattuck was inspired to write the book by her shame over her German heritage, and the wartime era s links to contemporary political issues. Her book answers the question How do good people become Nazis? with insight and empathy. The Women in the Castle stands tall among the literature that reveals new truths about one of history s most tragic eras. To view more Classified listings, visit: NOTICES LEGAL NOTICE LEGAL NOTICE If You Purchased Certain Hyland s Homeopathic Products, You Could Receive a Cash Payment as Part of a Proposed Class Action Settlement Forcellati v. Hyland s Inc., Case No. 12-CV ODW (MRW) WHAT IS THIS NOTICE ABOUT? A lawsuit is pending in the United States District Court, Central District of California, (the Action ) that may affect your rights. The Action claims that Hyland s Inc., Standard Homeopathic Laboratories Inc., and Standard Homeopathic Company ( Hyland s ) made false and misleading statements about the effectiveness of the following Hyland s products: (i) Cold n Cough 4 Kids, (ii) Cough Syrup with 100% Natural Honey, (iii) Sniffles n Sneezes 4 Kids, (iv) Cold Relief Strips 4 Kids with Zinc, (v) Nighttime Cold n Cough 4 Kids, (vi) Complete Flu Care 4 Kids, (vii) Baby Teething Gel, (viii) Baby Cough Syrup, (ix) Baby Gas Drops, (x) Baby Infant Earache Drops, and (xi) Baby Nighttime Tiny Cold Syrup ( Class Products ). Hyland s denies this claim. The Court has not ruled in favor of Plaintiffs or Hyland s. Instead, the parties agreed to a proposed settlement to avoid the expense and risks of continuing the lawsuit. AM I A MEMBER OF THE CLASS? The class is defined as: All persons in the United States who purchased the following Hyland s products on or after March 8, 2008: (i) Cold n Cough 4 Kids, (ii) Cough Syrup with 100% Natural Honey, (iii) Sniffles n Sneezes 4 Kids, (iv) Cold Relief Strips 4 Kids with Zinc, (v) Nighttime Cold n Cough 4 Kids, (vi) Complete Flu Care 4 Kids, (vii) Baby Teething Gel, (viii) Baby Cough Syrup, (ix) Baby Gas Drops, (x) Baby Infant Earache Drops, and (xi) Baby Nighttime Tiny Cold Syrup. WHAT DOES THE SETTLEMENT PROVIDE? Subject to Court approval, the parties have agreed to a settlement under which Hyland s will pay a full refund for Class Products purchased on or after March 8, You may submit a claim for a full refund of either (a) a maximum of two units of the products that you bought but do not have a proof of purchase for, and/or (b) each product you purchased for which you can provide a proof of purchase(the Settlement Benefit ). WHAT ARE MY RIGHTS? You have a choice of whether to stay in the Class or not, and you must decide this now. If you stay in the Class, you will be legally bound by all orders and judgments of the Court, and you won t be able to sue, or continue to sue, Hyland s as part of any other lawsuit involving the same claims in this lawsuit. This is true even if you do nothing by not submitting a claim. 1. You Can Accept the Settlement. Class Members who wish to receive Settlement Benefits must submit claims by June 28, You can get a Claim Form (1) on the Internet at (2) by calling , or (3) mailing a request for a Claim Form to Hyland s Products Litigation Administrator, P.O. Box is 43462, Providence, RI Read the instructions carefully, fill out the form, and submit it online on or before June 28, Alternatively, you may also submit a Claim Form by mailing it to the following address: Hyland s Products Settlement Administrator, P.O. Box 43462, Providence, RI It must be postmarked no later than June 28, If you fail to submit a timely Claim Form and do not exclude yourself from the settlement, then you will be bound by the settlement but will not receive any Settlement Benefits. 2. You Can Object to the Settlement. If you believe the settlement is unsatisfactory, you may file a written objection with the Clerk of the Court for the Central District of California by June 28, 2017, and send copies to the following Counsel representing the Class and Hyland s: Plaintiffs Counsel - L. Timothy Fisher, Bursor & Fisher, P.A., 1990 N. California Blvd., Suite 940, Walnut Creek, CA 94596; Hyland s Counsel - Jeffrey Margulies, Norton Rose Fulbright LLP, 555 South Flower St., Forty-First Floor, Los Angeles, CA You Can Opt Out of the Settlement. If you exclude yourself from the Class which is sometimes called opting-out of the Class you won t get any Settlement Benefits from the Proposed Settlement. You will also be responsible for any attorney s fees and costs you incur if you choose to pursue your own lawsuit. Such notice shall be in writing and include your name, current address, signature, and a statement that you want to be excluded from the lawsuit Forcellati v. Hyland s, Case No. 12-CV ODW, no later than June 28, Send the written notice to Hyland s Products Settlement Administrator, P.O. Box 43462, Providence, RI THE FAIRNESS HEARING. On August 14, 2017, at 1:30 p.m., the Court will hold a hearing in the United States District Court for the Central District of California to determine: (1) whether the proposed Settlement is fair, reasonable and adequate and should receive final approval; and (2) whether the application for Plaintiffs attorneys fees and expenses should be granted. Objections to the proposed Settlement by Class Members will be considered by the Court, but only if such objections are filed in writing with the Court and sent to Plaintiffs and Hyland s counsel by June 28, Class Members who support the proposed Settlement do not need to appear at the hearing or take any other action to indicate their approval. You may hire your own lawyer; however, if you do, you will be responsible for paying that lawyer on your behalf. HOW CAN I GET MORE INFORMATION? If you have questions or want more information about this lawsuit and your rights, visit You may also contact Class Counsel at info@bursor. com, or by writing to: Hyland s Products Settlement Administrator, P.O. Box 43462, Providence, RI , or by calling Para una notificación en Español, visite nuestro sitio de Web, Please do not contact the Court or Clerk for information. By order of the United States District Court for the Central District. TO ALL CURRENT JOE S JEANS AND HUDSON CLOTHING CUSTOMERS NOTICE OF CLASS ACTION LAWSUIT IF YOU PURCHASED A JOE S JEANS PRODUCT OR HUDSON CLOTHING PRODUCT WITH AN UNQUALIFIED MADE IN USA LABEL FROM JANUARY 7, 2011, TO DECEMBER 31, 2015, YOUR LEGAL RIGHTS ARE AFFECTED WHETHER YOU ACT OR DON T ACT. PLEASE READ THIS NOTICE CAREFULLY. 1. As part of a pending proposed settlement (the Proposed Settlement ), the Superior Court of California, for the County of San Diego, certified the Joe s Jeans, Inc., and Hudson Clothing, LLC cases as a class actions and approved this notice. The lawsuits contend that Joe s Jeans, Inc. (now Differential Brands Group, Inc.) ( Joe s ) and Hudson Clothing, LLC ( Hudson ) (collectively Defendants ) misrepresented the country of origin of its Current Joe s and Hudson products by claiming that the product was Made in USA when it contained foreign-made component parts. 2. Defendants will revise their labeling. Accordingly, the relevant Class Period in this matter is from January 7, 2011, to December 31, As part of the Proposed Settlement, if you made a purchase, in the United States, of a Joe s or Hudson s product labeled with an unqualified MADE IN USA or MADE IN THE USA label, from January 7, 2011 to December 31, 2015, you may be entitled to receive one (1) tote bag OR one (1) t-shirt. 4. You have the right to exclude yourself from the class. If you exclude yourself, your claims against Joe s and/or Hudson will not be resolved in this lawsuit and you will retain your right to separately pursue your claims at your own cost. You will not be bound by any judgment, rulings or orders in this case. However, if you exclude yourself, you will not receive your tote bag or t-shirt. 5. Please go to and/or www. joesjeanssettlement.com for more information about how to submit a claim form to receive the tote bag or t-shirt as detailed above or to exclude yourself, including a more detailed, four-page class notice. The due date for filing a claim is June 19, 2017 (visit websites for other due dates). You can also call the attorney for Plaintiff and Class Members (John Donboli of Del Mar Law Group, LLP) at for additional information. 6. Joe s and Hudson deny all allegations of wrongdoing and disclaims any liability with respect to any and all claims in the lawsuit. Nothing in the Proposed Settlement shall constitute an admission of liability or be used as evidence of liability, by or against the Plaintiffs, or Joe s or Hudson. PLEASE DO NOT CONTACT THE COURT FOR INFORMATION OR ADVICE. UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK In re: ) Chapter 11 AVAYA INC.,et al., 1 ) Case No (SMB) Debtors. ) (Jointly Administered) NOTICE OF DEADlINES FOR THE FIlING OF (A) PROOFS OF ClAIM, INClUDING ClAIMS ARISING UNDER SECTION 503(B)(9) OF THE BANKRUPTCY CODE,(B) ADMINISTRATIvE ClAIMS, AND (C) REjECTION DAMAGES ClAIMS THEClAIMSBARDATEISMAY8,2017 THEGOvERNMENTAlClAIMSBARDATEISjUlY18,2017 THEADMINISTRATIvEClAIMSBARDATEISMAY8,2017 THEREjECTIONDAMAGESBARDATEISTHElATEROF(A)THEClAIMS BARDATEORTHEGOvERNMENTAlBARDATE,ASAPPlICABlE;OR(B) THEDATETHATIS21DAYSFOllOWINGENTRYOFANORDERAPPROvING THEREjECTIONOFANYEXECUTORYCONTRACTORUNEXPIREDlEASE PlEASETAKENOTICEOFTHEFOllOWING: Deadlines for Filing Proofs of Claim and Administrative Claims Arising Prior to the Administrative Claim Deadline. On March 22, 2017, the Court entered an order [Docket. No. 301] the ( Bar Date Order ) 2 establishing certain dates by which parties holding prepetition claims against the Debtors must file (a) proofs of claim ( Proofs of Claim ),including claims by governmental units,claims arising under section 503(b)(9) of the Bankruptcy Code, and Rejection Damages Claims,and (b) requests for payment of Administrative Claims (as defined herein) arisingpriortotheadministrativeclaimdeadline(asdefinedherein). Debtor Name, Federal Tax Identification Number, Case Number: Avaya Inc., , (SMB); Avaya CALA Inc., , (SMB); Avaya EMEA Ltd., , (SMB); Avaya Federal Solutions, Inc., , (SMB); Avaya Holdings Corp., , (SMB); Avaya Holdings LLC, , (SMB); Avaya Holdings Two, LLC, , (SMB); Avaya Integrated Cabinet Solutions Inc., , (SMB); Avaya Management Services Inc., , (SMB); Avaya Services Inc., , (SMB); Avaya World Services Inc., , (SMB); Octel Communications LLC, , (SMB); Sierra Asia Pacific Inc., , (SMB); Sierra Communication International LLC, , (SMB); Technology Corporation of America, Inc., , (SMB); Ubiquity Software Corporation, , (SMB); VPNet Technologies, Inc., , (SMB);Zang,Inc., , (SMB). TheBarDates. Claims Bar Date. Pursuant to the Bar Date Order,all entities,including individuals,partnerships,estates,andtrustswhohaveaclaimorpotentialclaimagainstthe Debtors,including claims arising under section 503(b)(9) of the Bankruptcy Code, thatarosepriortothepetitiondate,nomatterhowremoteorcontingentsuchright topaymentorequitableremedymaybe,mustfileaproofofclaimonorbefore May8,2017,at5:00p.m.,prevailingEasternTime(the ClaimsBarDate ). Governmental Bar Date. Governmental entities who have a claim or potential claim against the Debtors that arose prior to the Petition Date,no matter how remote or contingent such right to payment or equitable remedy may be, MUST FILE A PROOF OF CLAIM on or before july 18, 2017, at 5:00 p.m., prevailing EasternTime(the GovernmentalBarDate ). AdministrativeClaimsBarDate. PartiesassertingAdministrativeClaimsagainst the Debtors estates arising between the Petition Date and April 1, 2017 (the Administrative Claims Deadline ) (but excluding (i) claims for professional fees andexpensesintheseproceedings,and(ii)claimsassertingadministrativepriority and arising in the ordinary course of business after the Petition Date),are required to file a request for payment of such Administrative Claim arising prior to the Administrative Claim Deadline with the Court on or before May 8, 2017 at 5:00 p.m.,prevailingeasterntime(the AdministrativeClaimsBarDate ). Amended Schedules Bar Date. All parties asserting claims against the Debtors estatesthatareaffectedbyapreviouslyunfiledscheduleoranamendmentorsupplementtotheschedulesarerequiredtofileproofsofclaimbythelaterof(a)the ClaimsBarDate or thegovernmental BarDate,as applicable,or (b) 5:00 p.m., prevailing Eastern Time, on the date that is 21 days from the date on which the Debtors provide notice of a previously unfiled Schedule or amendment or supplement to the Schedules (the Amended Schedules Bar Date ). Rejection Damages Bar Date. All parties asserting claims against the Debtors estates arising from the Debtors rejection of an executory contract or unexpired lease must file a Proof of Claim by the later of (a) the Claims Bar Date or the LEAGL NOTICE IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE...x In re: : Chapter 11 LA PALOMA GENERATING COMPANY, LLC,et al., : Case No (CSS) Debtors. : Jointly Administered...x NOTICE OF DEADLINE FOR THE FILING OF PROOFS OF CLAIM (GENERAL BAR DATE IS MAY 5, 2017 AT 5:00 P.M. EDT) PLEASE TAKE NOTICE OF THE FOLLOWING: On December 6, 2016, La Paloma Generating Company, LLC and its affiliated debtors and debtors in possession (collectively, the Debtors ) each filed a voluntary petition for relief under chapter 11 of title 11 of the United States Code (the Bankruptcy Code ) in the United States Bankruptcy Court for the District of Delaware (the Court ). Following are the name, federal tax identification number, and the case number for each of the Debtors: La Paloma Generating Company, LLC, , (CSS); La Paloma Acquisition Co, LLC, , (CSS); CEP La Paloma Operating Company, LLC, , (CSS). On March 24, 2017, the Court entered an order [D.I. 250] (the Bar Date Order ) establishing certain deadlines for the filing of proofs of claim in the Debtors chapter 11 cases. Pursuant to the Bar Date Order, all persons, entities, and governmental units who have a claim or potential claim against any of the Debtors that arose before December 6, 2016, no matter how remote or contingent such right to payment or equitable remedy may be, MUST FILE A PROOF OF CLAIM on or before May 5, 2017 at 5:00 p.m. (Eastern Daylight Time) for general creditors (the General Bar Date ) and June 5, 2017 at 5:00 p.m. (Eastern Daylight Time) for governmental units (the Governmental Unit Bar Date and together with the General Bar Date, the Bar Dates ), by sending an original proof of claim to Epiq Bankruptcy Solutions, LLC ( Epiq ) either (i) electronically via the interface available on Epiq s website at (ii) by regular mail to La Paloma Generating Company, LLC Claims Processing Center, c/o Epiq Bankruptcy Solutions, LLC, P.O. Box 4419, Beaverton, Oregon ; or (iii) by overnight mail, courier service, hand delivery, or in person to La Paloma Generating Company, LLC Claims Processing Center, c/o Epiq Bankruptcy Solutions, LLC, SW Allen Blvd., Beaverton, Oregon 97005, so that it is actually received no later than 5:00 p.m. (Eastern Daylight Time) on the applicable Bar Date. Proofs of claim sent by facsimile or will not be accepted. All Proofs of Claim must be filed so that they are actually received by the applicable Bar Date at the address and in the form set forth herein. ANY PERSON OR ENTITY (EXCEPT A PERSON OR ENTITY WHO IS EXCUSED BY THE TERMS OF THE BAR DATE ORDER) WHO FAILS TO FILE A PROOF OF CLAIM ON OR BEFORE THE APPLICABLE BAR DATE IN ACCORDANCEWITHTHE INSTRUCTIONS ABOVE SHALL NOT BETREATED AS A CREDITOR FOR PURPOSES OFVOTING AND DISTRIBUTION UNDER ANY PLAN OF REORGANIZATION OR LIQUIDATION IN THE DEBTORS CHAPTER 11 CASES, UNLESS OTHERWISE ORDERED BY THE COURT. Proof of claim forms and a copy of the Bar Date Order may be obtained by visiting Epiq s website at dm.epiq11.com/lapaloma or by contacting La Paloma Generating Company, LLC Claims Processing Center c/o Epiq Bankruptcy Solutions, LLC, SW Allen Blvd., Beaverton, OR 97005, ing lapaloma@ epiqsystems.com, or by telephone at (646) Epiq cannot advise you how to file, or whether you should file, a proof of claim. Dated: March 27, 2017 Wilmington, Delaware /s/ Jason M. Madron, RICHARDS, LAYTON & FINGER, P.A., Mark D. Collins (No. 2981), Jason M. Madron (No. 4431), One Rodney Square, 920 North King Street,Wilmington, Delaware and - O MELVENY & MYERS LLP,John J. Rapisardi (admitted pro hac vice),peter Friedman (admitted pro hac vice),diana M.Perez (admitted prohacvice), Andrew Sorkin (admitted prohacvice),times SquareTower, SevenTimes Square, New York, NewYork Attorneys for the Debtors and Debtors in Possession Call Us Today! Governmental Bar Date,as applicable,or (b) 5:00 p.m.prevailing Eastern Time on the date that is 21 days following entry of an order approving suchrejection(the RejectionDamagesBarDate ). ANY PERSON OR ENTITY WHO FAIlS TO FIlE A PROOF OF ClAIM,INClUD- ING ANY ClAIMS ARISING UNDER SECTION 503(B)(9) OF THE BANKRUPTCY CODE,OR WHO FAIlS TO FIlE AN ADMINISTRATIvE ClAIM WITH THE COURT, IN EACH CASE ON OR BEFORE THE APPlICABlE BAR DATE, SHAll NOT BE TREATED AS A CREDITORWITH RESPECTTO SUCH ClAIM FORTHE PURPOSES OFvOTINGANDDISTRIBUTIONONANYCHAPTER11PlAN. Filing a Proof of Claim. Each Proof of Claim must be filed, including supporting documentation, by U.S. Mail or other hand delivery system, so as to be actually received by Prime Clerk LLC (the Claims and Noticing Agent ) on or before the Claims Bar Date or the Governmental Bar Date (or,where applicable,on orbeforeanyotherbardateassetforthherein)atoneofthefollowingaddresses:if by first-class mail,send to:avaya Inc.,Claims Processing Center,c/o Prime Clerk LLC,830ThirdAvenue,3rdFloor,NewYork,NewYork10022;Ifbyhanddeliveryor overnightmail,sendto:avayainc.,claimsprocessingcenter,c/oprimeclerkllc, 830ThirdAvenue,3rdFloor,NewYork,NewYork PROOFS OF ClAIM SUBMITTED BY FACSIMIlE OR ElECTRONIC MAIl WIll NOTBEACCEPTED. Contents of Proofs of Claim. Each proof of claim must (i) be written in English; (ii) include a claim amount denominated in United States dollars; (iii) clearly identify the Debtor against which the claim is asserted (iv) conform substantiallywiththeproofofclaimformprovidedbythedebtorsorofficialform410; (v) be signed by the claimant or by an authorized agent or legal representative of the claimant;and (vi) include as attachments any and all supporting documentationonwhichtheclaimisbased. Pleasenotethateachproofofclaimmuststatea claimagainstonlyonedebtorandclearlyindicatethespecificdebtoragainstwhich the claim is asserted. To the extent more than one Debtor is listed on the proof of claim,a proof of claim is treated as if filed only against the first-listed Debtor,or if aproofofclaimisotherwisefiledwithoutidentifyingaspecificdebtor,theproofof claimmaybedeemedasfiledonlyagainstavayainc. Section 503(b)(9) Requests for Payment. Any proof of claim asserting a claim arising under section 503(b)(9) of the Bankruptcy Code must also (i) include the value of the goods delivered to and received by the Debtors in the 20 days prior to the Petition Date;(ii) attach any documentation identifying the particular invoicesforwhichsuch503(b)(9)claimisbeingasserted;and(iii)attachdocumentationofanyreclamationdemandmadetothedebtorsundersection546(c)ofthe BankruptcyCode(ifapplicable). Additional Information. If you have any questions regarding the claims processand/oryouwishtoobtainacopyofthebardatenotice,aproofofclaimformor relateddocumentsyoumaydosoby: (i)callingthedebtors restructuringhotlineat (US toll-free) and (international toll);(ii) visiting the Debtors restructuringwebsiteat: writingtoavayainc.claimsprocessingcenter,c/oprimeclerkllc830thirdavenue, 3rd Floor,NewYork,NewYork Please note that the Claims and Noticing Agentcannotofferlegaladviceoradvisewhetheryoushouldfileaproofofclaim. Dated: March 24,2017,NewYork,NewYork /s/ Jonathan S. Henes, P.C., James H.M.Sprayregen, P.C., Jonathan S.Henes, P.C., KIRKLAND & ELLIS LLP, KIRKLAND & ELLIS INTERNATIONAL LLP, 601 Lexington Avenue, New York, New York 10022,Telephone: (212) , Facsimile: (212) and- Patrick J. Nash, Jr., P.C. (admitted pro hac vice), Ryan Preston Dahl (admitted pro hac vice), Bradley Thomas Giordano (admitted pro hac vice), KIRKLAND & ELLIS LLP, KIRKLAND & ELLIS INTERNATIONAL LLP, 300 North LaSalle Street, Chicago, Illinois 60654, Telephone: (312) , Facsimile: (312) ,Counsel to the Debtors and Debtors in Possession 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor s federal tax identification number,include: Avaya Inc.(3430);Avaya CALA Inc. (9365); Avaya EMEA Ltd. (9361); Avaya Federal Solutions, Inc. (4392); Avaya Holdings Corp.(9726);Avaya Holdings LLC (6959);Avaya HoldingsTwo,LLC (3240); Avaya Integrated Cabinet Solutions Inc. (9449); Avaya Management Services Inc. (9358); Avaya Services Inc. (9687); Avaya World Services Inc. (9364); Octel Communications LLC (5700);Sierra Asia Pacific Inc.(9362);Sierra Communication International LLC (9828);Technology Corporation of America,Inc.(9022);Ubiquity SoftwareCorporation(6232);VPNetTechnologies,Inc.(1193);andZang,Inc.(7229). The location of Debtor Avaya Inc. s corporate headquarters and the Debtors service addressis:4655greatamericaparkway,santaclara,ca Capitalized terms used but not otherwise defined herein have the meanings ascribedtotheminthebardateorder. Send your sales through the roof with an ad in Marketplace Today. For more information on how to place your ad call: Place your ad in USA TODAY to get your phone ringing

21 USA TODAY THURSDAY, APRIL 6, 2017 Programming, direct selling most popular for this workforce Mina Haq USA TODAY Got a side gig? You re not alone. And among those in the ranks of the on-demand, or gig, economy are more and more women. Hyperwallet, a company that manages payments for a number of gig-economy companies, released data Tuesday on women s roles in the sharing economy. Among the findings: uprofessional freelance work, like computer programming via Upwork, was the most popular type of gig work. Direct selling Mary Kay, Rodan + Fields, Stella & Dot was the second most popular. uwomen cited flexible hours and control over earning totals as the top benefits of gig work; however, they also cited inconsistent income and a lack of benefits among major drawbacks. umore than 85% of female gig workers in the U.S. think gig work opens the door to equal pay to their male counterparts. The same group of women said that just 45% of traditional jobs offer the same opportunity. However, while many women have turned to gig work to supplement income, few have embraced it as a full-time job. Most are augmenting their money with either another part-time job, fulltime employment or a spouse s income, the report says. So who exactly is a gig worker? Someone who doesn t have a contract for long-term employment, according to one definition Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 21 of 27 Page ID #:13601 from the Bureau of Labor Statistics. That includes independent contractors (also called freelancers or independent consultants), on-call workers and those who work for a temp agency or contract firm. Of the women surveyed by Hyperwallet, 43% found professional freelance work through GETTY IMAGES/ISTOCKPHOTO Face of gig work is female, empowered It provides an incredible opportunity... that is interesting and challenging and that can pay well. Diane Mulcahy platforms like Upwork or 99designs. Driving for ride-sharing apps like Uber and Lyft accounted for 22% of gig work, while home-sharing services like Airbnb comprised 8%. Hyperwallet compiled the findings based on a survey of 2,000 female gig workers in the U.S. Jessica Milli, who has studied MONEY 5B the gig economy for the non-profit Institute for Women s Policy Research, says it s often the flexibility aspect that draws women to these jobs. They are frustrated with the formal labor market because they don t have the flexibility they need to take care of their families, she said. Of the quarter of respondents who left their full-time jobs for gig work, 32% did so for more flexibility and less stress, while 28% needed more time to care for a child, parent or relative, the report said. Seventy percent of female gig workers are the primary caregivers in their homes, according to the report. Overall, women generally have a positive view of gig work, the report found. An overwhelming 90% of those surveyed said they would recommend gig work to a female friend. And despite the technological advances that are making digital gig work platforms widely accessible, other worries such as discrimination remain. The report found that 33% of gig workers have done gig work under a username that doesn t reveal their gender. But for many gig workers, the flexibility and opportunities can outweigh the downsides. Diane Mulcahy teaches a class on the gig economy at Babson College in Massachusetts. She points out that there are workers in the traditional workforce who are low-paid and don t have benefits. While the gig economy doesn t solve that problem, it does not create a new one, she said. It provides an incredible opportunity to create a portfolio of work that is interesting and challenging and that can pay well, she said. It provides opportunities for people to have (a) personal life. To view more Classified listings, visit: UNITED STATES BANKRUPTCY COURT,EASTERN DISTRICT OF MISSOURI,EASTERN DIVISION In re: Case No Peabody Energy Corporation,et al., CHAPTER 11 Reorganized Debtors. Jointly Administered NOTICES LEGAL NOTICE NOTICE OF (I) ENTRY OF ORDER CONFIRMING SECOND AMENDED JOINT PLAN OF REORGANIZATION OF DEBTORS AND DEBTORS IN POSSESSION AS REVISED MARCh 15,2017 AND (II) OCCURRENCE OF EFFECTIVE DATE AND BAR DATES FOR FILING CERTAIN CLAIMS PLEASETAKENOTICEOFThEFOLLOWING: 1. Confirmation of the Plan. On March 17, 2017, the United States Bankruptcy Court for the Eastern District of Missouri Eastern Division (the Bankruptcy Court ) entered an order (Docket No. 2763) (the Confirmation Order ) confirming the Second Amended Joint Plan of Reorganization of Debtors and Debtors in Possession As Revised March 15,2017 (in the form dated as of January 27,2017 and included in the solicitation packagesdistributedtothecreditorsthatwereentitledtovotethereon,the January27Plan ),asmodifiedbythe Modifications(asdefinedintheConfirmationOrder)(togetherwiththeJanuary27Planandincludingtheexhibits thereto,the Plan ),a true and correct copy of which (without exhibits) is attached to the Confirmation Order as Appendix I in the chapter 11 cases of the above-captioned debtors and debtors in possession (collectively,the Debtors ). Unless otherwise defined in this Notice,capitalized terms and phrases used herein have the meaningsgiventothemintheplanandtheconfirmationorder. 2. EffectiveDate. At4:01p.m.(EasternTime),onApril3,2017,theEffectiveDateofthePlanoccurred. 3. Plan Injunction. Confirmation of the Plan operates as an injunction against: (a) the commencement, conductingorcontinuationinanymanner,directlyorindirectly,ofanysuit,act,actionorotherproceedingofany kind against the Debtors,their Estates or Assets or the Reorganized Debtors,or the respective assets or property thereof;(b) enforcement,levying,attachment,collection or other recovery by any manner or means,directly or indirectly,any judgment,award,decree or order against the Debtors,their Estates or Assets or the Reorganized Debtors,or the respective assets or property thereof;(c) creation,perfection or other enforcement in any manner,directly or indirectly,of any Lien against the Debtors,their Estates or Assets or the Reorganized Debtors,or therespective assetsor propertythereof,otherthanascontemplated by theplan;(d) exceptasprovided forin theplan,assertionofanysetoff,rightofsubrogationorrecoupmentofanykind,directlyorindirectly,againstany obligation due a Debtor or Reorganized Debtor,or the respective assets or property thereof;and (e) proceeding inanymannerinanyplacewhatsoeverthatdoesnotconformtoorcomplywiththeprovisionsoftheplanorthe settlements set forth in the Plan to the extent such settlements have been approved by the Bankruptcy Court in connectionwith Confirmation. The Bankruptcy Court shallhavejurisdictiontodetermine andawarddamages and/or other appropriate relief at law or in equity for any violation of such injunction,including compensatory damages,professionalfeesandexpenses,andexemplarydamagesforanywillfulviolationofsaidinjunction. 4. Discharge of Claims. Except as provided in the Plan or in the Confirmation Order,the rights afforded under the Plan will be in exchange for and in complete satisfaction,discharge and release of all Claims (other than Intercompany Claims,except to the extent provided in the RestructuringTransactions) and termination of allinterests(otherthansubsidiarydebtorinterests)arisingonorbeforetheeffectivedate,includinganyinterest accrued on Claims from and after the Petition Date. Except as provided in the Plan or in the Confirmation Order, Confirmationwill,asoftheEffectiveDate,andconsistentwithExhibitIV.F.1ofthePlan: (a)dischargethedebtors from all Claims or other Liabilities that arose on or before the Effective Date and all debts of the kind specified in sections502(g),502(h)or502(i)ofthebankruptcycode,whetherornot(i)aproofofclaimbasedonsuchdebtis Filed or deemed Filed pursuant to section 501 of the Bankruptcy Code,(ii) a Claim based on such debt is allowed pursuanttosection502ofthebankruptcycodeor(iii)theholderofaclaimbasedonsuchdebthasacceptedthe Plan;and (b) terminate all Interests and other rights of holders of Interests in the Debtors other than Subsidiary DebtorInterests. In accordance with the foregoing,except as provided in the Plan or the Confirmation Order,the Confirmation Orderwillbeajudicialdetermination,asoftheEffectiveDateandconsistentwithExhibitIV.F1tothePlan,ofadischargeofallClaimsandotherdebtsandLiabilitiesagainsttheDebtorsandaterminationofallInterestsandother rightsoftheholdersofinterestsinthedebtors(otherthansubsidiarydebtorinterests),pursuantto,andsolelyto thefullextentprovidedby,sections524(a)(1),524(a)(2)and1141(d)ofthebankruptcycode,andsuchdischarge willvoidanyjudgmentobtainedagainstthedebtorsorreorganizeddebtorsatanytime,totheextentthatsuch judgment relates to a discharged Claim or terminated Interest. For the avoidance of doubt,pursuant to section 1141(d)(3)oftheBankruptcyCode,theconfirmationofthePlandoesnotdischargetheGoldFieldsDebtors. 5. Exculpation. Pursuant to the Plan, and except as otherwise specifically provided in the Plan or the Confirmation Order, to the fullest extent permitted by applicable law, the Released Parties shall neither have nor incur any liability to any Person or entity with respect to any and all Claims and Causes of Action in connectionwith,relatingtoorarising outofthe Chapter11 Cases,including,without limitation,claimsand Causesof Actions relating to or arising out of acts or omissions occurring after the Confirmation Date in connection with Distributions made consistent with the terms of the Plan by any Disbursing Agent or Third Party Disbursing Agent,the restructuring of the Debtors,the formulation,negotiation,preparation,dissemination,implementation,administration,solicitation,confirmation or consummation of the Plan,the Restructuring Term Sheet,the Disclosure Statement,the PSA,the settlements set forth in the Plan or any contract,instrument,release or other agreement or document created or entered into in connection with the Plan or in relation to the Plan,including, without limitation,the Confirmation Exhibits,the Exit Facility,the Replacement Secured First LienTerm Loan (if applicable),the New SecondLien Notes (if applicable),the Additional First Lien Debt (if applicable),the Rights Offering and the Rights Offering Documents, the Private Placement and the Private Placement Documents, the Rights Offering Backstop Commitment Agreement, the Private Placement Agreement, the Gold Fields LiquidatingTrust Agreement,the issuance of the Reorganized PEC Common Stock,Rights Offering Equity Rights, PennyWarrants,Preferred Equity,LTIP Shares,the Amended Securitization Facility or any act taken or omitted to be taken in connection with or relating to any of the foregoing; provided,however,that the foregoing shall not affect the liability of any Released Party that otherwise would result from any act or omission to the extent that act or omission subsequently is determined in a Final Order to have constituted gross negligence or willful misconduct. Anyoftheforegoingpartiesshallbeentitledtorelyupontheadviceofcounselwithrespecttotheir dutiesandresponsibilitiesundertheplan. 6. EnforcementoftheBarDateOrder. ExceptasspecificallysetforthinthePlan,theConfirmationOrder and thisnotice,thebar DateOrder remainsinfullforce andeffect,including,without limitation,the establishmentofaugust19,2016asthebardateforthefilingofgeneralunsecuredclaimsandclaimsarisingundersection503(b)(9)ofthebankruptcycodeandoctober11,2016asthebardateforthefilingofgovernmentalclaims. 7. Administrative Claims Bar Date. Pursuant to Section II.A.1.h of the Plan,except as otherwise providedinsectionii.a.1.h.11oftheplanorinabardateorderorotherorderofthebankruptcycourt,unlesspreviouslyfiled,requestsforpaymentofadministrativeexpenseclaimsmustbefiledandservedonthenoticeparties pursuanttotheproceduresspecifiedintheconfirmationorderandthenoticeofentryoftheconfirmationorder, IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: Chapter 11 Bostwick Laboratories,Inc.,et al., 1 Case No (BLS) Debtors. (Jointly Administered) NOTICE OF SALE BY AUCTION AND SALE HEARING PLEASE TAKE NOTICE that, on March 15, 2017, Bostwick Laboratories, Inc. (the Debtors ) in the above-captioned chapter 11 case filed a motion [Docket No.15] (the Bidding Procedures Motion ) with the United States Bankruptcy Court for the District of Delaware (the Bankruptcy Court ) seeking an order (a) authorizing and approving bidding procedures for the sale of the Purchased Assets, (b) approving the form and manner of notice of the Auction and Sale Hearing, and (c) scheduling an Auction and a Sale Hearing and setting other related dates and deadlines all as further described in the Bidding Procedures Motion. On April 3, 2017, the Bankruptcy Court entered an order (the Bidding Procedures Order ) 2 approving certain bidding procedures attached thereto as Exhibit 1 (the Bidding Procedures ). PLEASE TAKE FURTHER NOTICE that the Debtors are soliciting offers for the purchase of the Purchased Assets. All interested bidders should carefully read the Bidding Procedures and Bidding Procedures Order.To the extent there are any inconsistencies between this notice and the Bidding Procedures, the latter shall govern in all respects. If you are a party to an executory contract or lease with the Debtors,you will receive a separate notice that contains relevant dates and other informationthatmayimpactyouasapartytoanexecutorycontractorlease. PLEASETAKEFURTHERNOTICEthat,iftheDebtorsreceivecompetingbidswithin the requirements and time frame specified by the Bidding Procedures,the Debtors will conduct an auction (the Auction ) for the Purchased Assets at the offices of their counsel, Pepper Hamilton LLP, Hercules Plaza, Suite 5100, 1313 N. Market Street,Wilmington,DE 19801,on April 26,2017,at 10:00 a.m.(prevailing Eastern Time). PLEASE TAKE FURTHER NOTICE that the Debtors will seek approval of the sale of the Purchased Assets at a hearing scheduled to commence on April 28,2017 at 10:00 a.m. (Prevailing Eastern Time) (the Sale Hearing ) or as soon thereafter as counsel may be heard,before the Honorable Brendan L.Shannon,Chief United States Bankruptcy Judge in the United States Bankruptcy Court for the District of Delaware, 824 North Market Street, 3rd Floor,Wilmington, Delaware The Sale Hearing may be adjourned from time to time without further notice to creditors or parties in interest other than by announcement of the adjournment in open courtonthedatescheduledforthesalehearing. PLEASE TAKE FURTHER NOTICE that objections to the proposed sale of the PurchasedAssets(otherthanwithrespecttocureamountsandadequateassurance nolaterthan30daysaftertheeffectivedate,whichismay3,2017(the AdministrativeClaimsBarDate ). Holders ofadministrativeexpenseclaimsthatarerequiredtofileandservearequestforpaymentofsuchadministrative Expense Claims and that do not File and serve such a request by the applicable Bar Date will be forever barred fromassertingsuchadministrativeexpenseclaimsagainstthedebtors,thereorganizeddebtors,thegoldfields LiquidatingTrustortheirrespectivepropertyandsuchAdministrativeExpenseClaimswillbedeemeddischarged as of the Effective Date. Objections to such requests must be Filed and served on the Notice Parties and the requestingpartybytheclaimsobjectionbardate. 8. Professional Fee Claims. Professionals or other entities asserting a Fee Claim for services rendered before theeffective DatemustFileandserveon thenotice Parties andsuchotherentities whoare designated by the Bankruptcy Rules,the Confirmation Order or other order of the Bankruptcy Court an application for final allowanceofsuchfeeclaimnolaterthan60daysaftertheeffectivedate,orjune2,2017;provided,however,that anyprofessionalwhomayreceivecompensationorreimbursementofexpensespursuanttotheordinarycourse ProfessionalsOrdermaycontinuetoreceivesuchcompensationandreimbursementofexpensesforservicesrendered before the Effective Date pursuant to the Ordinary Course Professionals Order without further Bankruptcy Court review or approval (except as provided in the Ordinary Course Professionals Order). Objections to any Fee ClaimmustbeFiledandservedontheNoticePartiesandtherequestingpartybythelaterof:(a)90daysafterthe Effective Date,which is July 2,2017;(b) 30 days after the Filing of the applicable request for payment of the Fee Claim;or (c) such other period of limitation as may be specifically fixed by a Final Order for objecting to such Fee Claims. To the extent necessary,the Confirmation Order will amend and supersede any previously entered order ofthebankruptcycourtregardingthepaymentoffeeclaims. Fortheavoidanceofdoubt,professionalsfor(i)the NoteholderCo-Proponents,(ii)theIndentureTrustees,(iv)theFirstLienAgentand(v)theFirstLienLendersshall notberequiredtosubmitfeeapplications. 9. Rejection Damages Claims. In accordance with Section III.B.2 of the Plan, unless otherwise provided in a Final Order of the Bankruptcy Court approving the rejection of an Executory Contract or Unexpired Lease,Claims arising out of the rejection of an Executory Contract or Unexpired Lease pursuant to the Plan must be Filed with the Bankruptcy Court and served upon counsel to the Debtors and Designated Co-Administrator and,if concerning the Gold Fields Debtors,the Gold Fields LiquidatingTrustee,on or before the later of: (a) 30 days after the Effective Date,which is May 3,2017;or (b) for Executory Contracts identified on Exhibit III.B.1 of the Plan,30 days after (i) a notice of such rejection is served under the Order,Pursuant to Sections 105,365 and 1123 of the Bankruptcy Code, (I) Establishing Procedures with Respect to the Proposed Assumption, Assumption andassignment,andrejectionofexecutorycontractsandunexpiredleasesandthetreatmentofotheragreements Pursuant to the Amended Joint Plan of Reorganization of Debtors and Debtors in Possession and Applicable Law and (II) Approving the Form and Manner of NoticeThereof (Docket No.2420) (the Contract Procedures Order ), if the contract counterparty does not timely file an objection to the rejection in accordance with the Contract Procedures Order or (ii) if such an objection to rejection is timely filed with the Bankruptcy Court in accordance with the Contract Procedures Order,the date that an order is entered approving the rejection of the applicable contractorleaseorthedatethattheobjectiontorejectioniswithdrawn. AnyClaimsnotFiledwithinsuchapplicabletimeperiodswillbeforeverbarredfromreceivingaDistributionfromtheDebtors,theReorganizedDebtors ortheestates. 10. Service Upon Claims Agent. Administrative Expense Claims and Proofs of Claim that are required to be Filed in accordance with the bar dates set forth above must be served on the Debtors claims,notice and ballotingagentkurtzmancarsonconsultants,llcsoastobeactuallyreceivedbytheapplicabledeadlinebydelivering an applicable proof of claim by regular mail,overnight courier or hand delivery to the following address: Peabody Energy Corp Claims Processing Center,c/o Kurtzman Carson Consultants,LLC,2335 Alaska Avenue,ElSegundo,California Proofs of claim may NOT be delivered by facsimile or electronic mail transmission. Any facsimile or electronic mail submission will not be accepted and will not be deemed Filed until a proof of claim is submittedbyoneoftheapprovedmethodsdescribedabove. 12. Notice Parties Service Addresses. To be effective, any notices, requests and demands required or permitted to be provided under the Plan shall be in writing (including, without express or implied limitation, by facsimile transmission),and,unless otherwise expressly provided herein,shall be deemed to have been duly given or made when actually delivered or, in the case of notice by facsimile transmission, when received and telephonically confirmed, and addressed to: (a) counsel to the Reorganized Debtors, Jones Day, 901 Lakeside Avenue,Cleveland,Ohio (Attn: Heather Lennox),Jones Day,51 Louisiana Avenue,N.W.,Washington,D.C (Attn: Amy Edgy and DanielT.Moss) and ArmstrongTeasdale LLP, 7700 Forsyth Boulevard,Suite 1800, St.Louis,Missouri (Attn: Steven N.Cousins and Susan K.Ehlers);(b) the Creditor Co-Proponents,(i) First Lien Lender Co-Proponents,Davis Polk &WardwellLLP,450 LexingtonAvenue,NewYork,NewYork (Attn: DamianS.Schaible,DarrenS.KleinandAngelaM.Libby)and(ii)NoteholderCo-Proponents,(A)counseltocertain members of the Ad Hoc Group of Second Lien Noteholders,Skadden,Arps,Slate,Meagher & Flom LLP,FourTimes Square,NewYork,NY (Attn: Jay M.Goffman and Shana Elberg),Stinson Leonard Street LLP,7700 Forsyth Boulevard,Suite 1100,St.Louis,MO (Attn:JohhG.Young,Jr.),andWoods,Fuller,Shultz & Smith,P.C.,300 South Phillips Avenue,Suite 300,Sioux Falls,SD (Attn: Jordan J.Feist),(B) counsel to certain members of the Ad Hoc Group of Senior Noteholders,Kramer Levin Naftalis & Frankel LLP,1177 Avenue of the Americas,New York,NewYork10036(Attn: Kenneth HEckstein,P.Bradley O Neill,StephenZideand AndyDove),Doster,Ullom & Boyle,LLC,16090SwingleyRidgeRoad,Suite620,St.Louis,Missouri63017(Attn: GregoryD.Willard,JohnG.Boyle and Alec L.Moen),Kirkland &Ellis LLP,601 Lexington Avenue,NewYork,NY (Attn: Stephen E.Hessler)and Kirkland&EllisLLP,555CaliforniaStreet,SanFrancisco,California 94104(Attn: BrianFordandMelissaN.Koss);(c) the Office of the United StatesTrustee,400 East 9th Street,Room 3440,Kansas City,Missouri (Attn: Daniel J.Casamatta) and 111 S.10th Street,Room 6353,St.Louis,Missouri (Attn: Paul A.Randolph and Leonora S.Long);(d) the Creditors Committee with respect to matters set forth in SectionV.E.8 of the Plan,Morrison & ForresterLLP,25055thStreet,NewYork,NY (Attn: LorenzoMarinuzziandDanielJ.Harris);(e)Cullen Drescher Speckhart,Esq.,the Designated Co-Administrator,with respect to matters set forth in ArticleVII of the Plan,WolcottRiversGatesAttorneysatLaw,200BendixRoad,Suite300,VirginiaBeach,VA Copies ofthe Planandthe Confirmation Order. CopiesofthePlanandtheConfirmationOrdermay beobtainedfreeofchargeatwww.kccllc.net/peabody. Dated:April 3,2017,St.Louis,Missouri Respectfully submitted, /s/ Steven N. Cousins, Steven N. Cousins, MO 30788, Susan K. Ehlers, MO 49855, ArmstrongTeasdale LLP,7700 Forsyth Boulevard,Suite 1800,St.Louis,MO 63105,Telephone: (314) , Facsimile: (314) , scousins@armstrongteasdale.com, sehlers@armstrongteasdale.com -and- Heather Lennox (admitted pro hac vice), Jones Day, North Point, 901 Lakeside Avenue, Cleveland, OH 44114,Telephone: (216) ,Facsimile: (216) and- Amy Edgy (admitted pro hac vice),daniel T.Moss (admitted pro hac vice),jones Day,51 Louisiana Avenue,N.W.,Washington,D.C ,Telephone: (202) ,Facsimile: (202) ,Attorneys for Debtors and Debtors in Possession which are subject to a separate notice),if any,must:(i) be in writing;(ii) conform to the applicable provisions of the Bankruptcy Rules and the Local Bankruptcy Rules; (iii)statewithparticularitythelegalandfactualbasisfortheobjectionandthespecificgroundstherefor;and(iv)befiledwiththebankruptcycourtandservedsothe objectionisactuallyreceivednolaterthanapril21,2017at4:00p.m.(easterntime) (the Sale Objection Deadline ) by the following parties (the Notice Parties ):(a) counsel to the Debtors, Pepper Hamilton LLP, Hercules Plaza, Suite 5100, 1313 N. MarketStreet,P.O.Box1709,Wilmington,DE19899,Attn:DavidB.Stratton;(b)counsel to the Committee, (1) Sheppard Mullin Richter & Hampton LLP,30 Rockefeller Plaza,NewYork,NY10112,Attn:CraigA.Wolfeand(2)PachulskiStangZiehl&Jones LLP(Attn:ColinR.Robinson,Esq.);(c)counseltotheStalkingHorseBidder,(1)Baker, Donelson,Bearman,Caldwell & Berkowitz,PC,165 Madison Avenue,Memphis,TN 38103,Attn:E.Franklin Childress,Jr.;and (2) Morris Nichols Arsht & Tunnell,1201 North Market Street, 16th Floor, P.O.Box 1347,Wilmington, DE , Attn: DerekC.Abbott;and(d)partiesrequiredbyBankruptcyRule2002(a). PLEASE TAKE FURTHER NOTICE THAT UNLESS AN OBJECTION IS TIMELY SERVED AND FILED IN ACCORDANCE WITH THIS NOTICE, IT MAY NOT BE CONSIDERED BY THE BANKRUPTCY COURT AND THE BANKRUPTCY COURT MAY GRANT THE RELIEF REQUESTED IN THE MOTION WITHOUT FURTHER HEARINGANDNOTICE. PLEASETAKE FURTHER NOTICE that this Notice and the Sale Hearing are subject to the complete terms and conditions of the Motion,the Bidding Procedures Order, and the Bidding Procedures,which shall control in the event of any conflict and the Debtors encourage parties-in-interest to review such documents in their entirety. Copies of the Motion, the Bidding Procedures Order, the Bidding Procedures and other relevant documents can be found: (a) on the Court s website, deb.uscourts.gov, (b) with the Clerk of the Bankruptcy Court, 824 N. Market St., Wilmington,DE19801and(c)onthewebsitemaintainedbytheDebtors noticeand claimsagent,donlin,recano&company,inc.( Dated: April 3,2017,Wilmington,Delaware PEPPER HAMILTON LLP,/s/ Evelyn J.Meltzer,David B.Stratton (DE No.960),Evelyn J. Meltzer (DE No.4581),John H.Schanne,II (DE No.5260),Hercules Plaza,Suite 5100, 1313 N. Market Street, P.O. Box 1709, Wilmington, DE , Telephone: (302) ,Facsimile: (302) ,Proposed Counsel for the Debtors 1 The Debtors are the following entities (last four digits of EIN in parentheses): (i) Bostwick Laboratories, Inc., a Delaware corporation (3169); and (ii) Bostwick LaboratoriesHoldings,Inc.,aDelawarecorporation(1042). Th ingaddressfor thedebtorsis100charleslindberghblvd.,uniondale,ny Capitalized terms not otherwise defined herein shall have the meanings ascribedtosuchtermsinthebiddingproceduresorder. Advertise in USA TODAY! (800) sales@russelljohns.com Place your advertisement in USA TODAY s Marketplace Classified section today! Categories include: Auctions Business Careers Education Real Estate Services Sports & Recreation Travel And more! LEGAL NOTICE LEGAL NOTICE If You Purchased Certain Hyland s Homeopathic Products, You Could Receive a Cash Payment as Part of a Proposed Class Action Settlement Forcellati v. Hyland s Inc., Case No. 12-CV ODW (MRW) WHAT IS THIS NOTICE ABOUT? A lawsuit is pending in the United States District Court, Central District of California, (the Action ) that may affect your rights. The Action claims that Hyland s Inc., Standard Homeopathic Laboratories Inc., and Standard Homeopathic Company ( Hyland s ) made false and misleading statements about the effectiveness of the following Hyland s products: (i) Cold n Cough 4 Kids, (ii) Cough Syrup with 100% Natural Honey, (iii) Sniffles n Sneezes 4 Kids, (iv) Cold Relief Strips 4 Kids with Zinc, (v) Nighttime Cold n Cough 4 Kids, (vi) Complete Flu Care 4 Kids, (vii) Baby Teething Gel, (viii) Baby Cough Syrup, (ix) Baby Gas Drops, (x) Baby Infant Earache Drops, and (xi) Baby Nighttime Tiny Cold Syrup ( Class Products ). Hyland s denies this claim. The Court has not ruled in favor of Plaintiffs or Hyland s. Instead, the parties agreed to a proposed settlement to avoid the expense and risks of continuing the lawsuit. AM I A MEMBER OF THE CLASS? The class is defined as: All persons in the United States who purchased the following Hyland s products on or after March 8, 2008: (i) Cold n Cough 4 Kids, (ii) Cough Syrup with 100% Natural Honey, (iii) Sniffles n Sneezes 4 Kids, (iv) Cold Relief Strips 4 Kids with Zinc, (v) Nighttime Cold n Cough 4 Kids, (vi) Complete Flu Care 4 Kids, (vii) Baby Teething Gel, (viii) Baby Cough Syrup, (ix) Baby Gas Drops, (x) Baby Infant Earache Drops, and (xi) Baby Nighttime Tiny Cold Syrup. WHAT DOES THE SETTLEMENT PROVIDE? Subject to Court approval, the parties have agreed to a settlement under which Hyland s will pay a full refund for Class Products purchased on or after March 8, You may submit a claim for a full refund of either (a) a maximum of two units of the products that you bought but do not have a proof of purchase for, and/or (b) each product you purchased for which you can provide a proof of purchase(the Settlement Benefit ). WHAT ARE MY RIGHTS? You have a choice of whether to stay in the Class or not, and you must decide this now. If you stay in the Class, you will be legally bound by all orders and judgments of the Court, and you won t be able to sue, or continue to sue, Hyland s as part of any other lawsuit involving the same claims in this lawsuit. This is true even if you do nothing by not submitting a claim. 1. You Can Accept the Settlement. Class Members who wish to receive Settlement Benefits must submit claims by June 28, You can get a Claim Form (1) on the Internet at (2) by calling , or (3) mailing a request for a Claim Form to Hyland s Products Litigation Administrator, P.O. Box is 43462, Providence, RI Read the instructions carefully, fill out the form, and submit it online on or before June 28, Alternatively, you may also submit a Claim Form by mailing it to the following address: Hyland s Products Settlement Administrator, P.O. Box 43462, Providence, RI It must be postmarked no later than June 28, If you fail to submit a timely Claim Form and do not exclude yourself from the settlement, then you will be bound by the settlement but will not receive any Settlement Benefits. 2. You Can Object to the Settlement. If you believe the settlement is unsatisfactory, you may file a written objection with the Clerk of the Court for the Central District of California by June 28, 2017, and send copies to the following Counsel representing the Class and Hyland s: Plaintiffs Counsel - L. Timothy Fisher, Bursor & Fisher, P.A., 1990 N. California Blvd., Suite 940, Walnut Creek, CA 94596; Hyland s Counsel - Jeffrey Margulies, Norton Rose Fulbright LLP, 555 South Flower St., Forty-First Floor, Los Angeles, CA You Can Opt Out of the Settlement. If you exclude yourself from the Class which is sometimes called opting-out of the Class you won t get any Settlement Benefits from the Proposed Settlement. You will also be responsible for any attorney s fees and costs you incur if you choose to pursue your own lawsuit. Such notice shall be in writing and include your name, current address, signature, and a statement that you want to be excluded from the lawsuit Forcellati v. Hyland s, Case No. 12-CV ODW, no later than June 28, Send the written notice to Hyland s Products Settlement Administrator, P.O. Box 43462, Providence, RI THE FAIRNESS HEARING. On August 14, 2017, at 1:30 p.m., the Court will hold a hearing in the United States District Court for the Central District of California to determine: (1) whether the proposed Settlement is fair, reasonable and adequate and should receive final approval; and (2) whether the application for Plaintiffs attorneys fees and expenses should be granted. Objections to the proposed Settlement by Class Members will be considered by the Court, but only if such objections are filed in writing with the Court and sent to Plaintiffs and Hyland s counsel by June 28, Class Members who support the proposed Settlement do not need to appear at the hearing or take any other action to indicate their approval. You may hire your own lawyer; however, if you do, you will be responsible for paying that lawyer on your behalf. HOW CAN I GET MORE INFORMATION? If you have questions or want more information about this lawsuit and your rights, visit You may also contact Class Counsel at info@bursor. com, or by writing to: Hyland s Products Settlement Administrator, P.O. Box 43462, Providence, RI , or by calling Para una notificación en Español, visite nuestro sitio de Web, Please do not contact the Court or Clerk for information. By order of the United States District Court for the Central District. NOTICE TO ALL POLICYHOLDERS, CLAIMANTS, CREDITORS, SHAREHOLDERS, AND ALL OTHER PERSONS OR ENTITIES INTERESTED IN CASTLEPOINT NATIONAL INSURANCE COMPANY NOTICE IS HEREBY GIVEN that on March 30, 2017, the Superior Court of the City and County of San Francisco entered an Order Appointing Liquidator, in the case entitled Insurance Commissioner of the State of California v. CastlePoint National Insurance Company, Case No. CPF ( Liquidation Order ). The effective date of the liquidation order is April 1, Pursuant to the Liquidation Order, the California Insurance Commissioner has been appointed as the statutory Liquidator of CastlePoint National Insurance Company ( CastlePoint ). The Liquidation Order authorizes and empowers the Commissioner, through his Conservation & Liquidation Office, to liquidate CastlePoint and its assets for the benefit of CastlePoint s claimants, creditors and shareholder, as provided in Sections 1010 through 1062 of the Insurance Code of the State of California. CastlePoint was found to be statutorily insolvent. This finding of insolvency triggers State Guaranty Funds, in all states in which CastlePoint was authorized to write insurance, to begin paying covered claims to CastlePoint s claimants up to statutory limits. A listing of State Guaranty Funds with contact information can be found at The Liquidation will not cause any disruption or delay in the delivery of workers compensation indemnity and pharmacy benefits to injured workers covered under CastlePoint policies. The Liquidator has made arrangements to pre-fund approximately two months of workers compensation indemnity and pharmacy benefits while the claim files are being transferred to the appropriate State Guaranty Funds. CastlePoint National Insurance Company is the successor by merger with the following companies prior to Conservation:: Tower Insurance Company of New York Hermitage Insurance Company Tower National Insurance Company North East Insurance Company CastlePoint Florida Insurance Company Preserver Insurance Company Massachusetts Homeland Insurance Company CastlePoint Insurance Company York Insurance Company of Maine A copy of the Liquidation Order can be found on the Conservation & Liquidation Office website at: A set of questions and answers concerning the liquidation of CastlePoint can be found on the same website. Additional information about CastlePoint can be found on the Company s website at: or contact CastlePoint at Date: April 1, 2017 DAVE JONES Insurance Commissioner of the State of California as Liquidator of CastlePoint National Insurance Company By: David E. Wilson Special Deputy Insurance Commissioner Reach millions when you place your ad in USA TODAY! Call:

22 4D LIFE Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 22 of 27 Page ID #:13602 USA TODAY THURSDAY, APRIL 13, 2017 FASHION 9 TRENDS BLOSSOM FOR THE SPRING Are warming temperatures putting a spring in your step? If so, now is the time to put some spring into your closet. From one-shoulder numbers and graphic tees, to groovy fashions with a significant 1970s influence, USA TODAY S Erin Jensen reveals this season s need-to-know trends. 70S DUDS A strapless jumpsuit by Michael Costello with exaggerated bell-bottoms, a highwaisted skirt in a Brady Bunch orange by Balmain and a far-out look by Naeem Khan make for groovy time travel on spring runways. FRESH FLORALS While some flowers came in a citrusy 70s palette, designers including Monique Lhuillier and Carolina Herrera offered blooms in modern hues such as silver and lavender. Florals are on tops, skirts and dresses. BARELY THERE BRA TOPS In case your crop top made you feel like a prude, look to Jeremy Scott, Alexander Wang, Michael Kors and Tory Burch, proponents of the tiny top inspired by your lingerie drawer, paired with bellybutton-covering bottoms. ONE- SHOULDER WONDERS As with the cold-shoulder trend, the tendency to bare upper arms continues, but it s evolved to oneshoulder designs appearing on the runways of Moschino, Rodarte and Mugler, to name a few. PRINT MIXING, MATCHING Unexpected marriages between gingham and large checks, plaid and florals worked on the Tome runway. Go confidently in the direction that you dare. MIGHTY METALLICS Silver and gold designs weren t the only ones to shimmer down the catwalk. Looks constructed of fabrics in vivacious cobalt and apricot appeared on the stages of the Balmain and Elie Saab fashion shows. STRIPES CITY Ensembles with stripes are lining up to get into your wardrobe. Vertical stripes in primary colors came down the Chloé and Tory Burch runways. Balmain and Louis Vuitton showed stripes in more radical silhouettes. THE GROWN-UP GRAPHIC TEE The graphic tee certainly is stirring up nostalgia. Looks from Maison Margiela featured text and Coach showcased designs with pictures of Elvis, while a statement tee from Dior professed we should all be feminists. PLUNGING NECKLINES Add garment tape to your shopping list. The sternumdisplaying designs by Naeem Khan, Michael Costello, Lanvin, Balmain and Elie Saab indicate the sticky accessory is a necessity this season. BALMAIN AND ELIE SAAB BY PASCAL LE SEGRETAIN, GETTY IMAGES; MICHAEL COSTELLO, JEREMY SCOTT, TOME BY FRAZER HARRISON, GETTY IMAGES; TORY BURCH BY SLAVEN VLASIC, GETTY IMAGES; CHRISTIAN DIOR FRANCOIS GUILLOT, AFP/GETTY IMAGES; RODARTE AND CAROLINE HERRERA BY JP YIM, GETTY IMAGES To view more Classified listings, visit: NOTICES LEGAL NOTICE Important Legal Notice for Customers of The Body Shop You may be eligible to receive a $12.00 gift card as part of a class action settlement with The Body Shop stores, which are a chain of retail stores located throughout the United States ( The Body Shop ). A settlement has been preliminarily approved by the United States District Court for the Southern District of New York in a lawsuit involving allegations that The Body Shop, in violation of federal law, provided some customers with electronicallyprinted receipts displaying more than the last five digits of the customer s debit or credit card number at point of sale or in a transaction between February 12, 2011 and March 21, The Body Shop denies any liability or wrongdoing of any kind and maintains that it has acted lawfully at all times. The Court did not decide in favor of Plaintiff or The Body Shop. For more information about the class action settlement and eligibility for recovery of a $12.00 gift card visit LEGAL NOTICE LEGAL NOTICE If You Purchased Certain Hyland s Homeopathic Products, You Could Receive a Cash Payment as Part of a Proposed Class Action Settlement Forcellati v. Hyland s Inc., Case No. 12-CV ODW (MRW) WHAT IS THIS NOTICE ABOUT? A lawsuit is pending in the United States District Court, Central District of California, (the Action ) that may affect your rights. The Action claims that Hyland s Inc., Standard Homeopathic Laboratories Inc., and Standard Homeopathic Company ( Hyland s ) made false and misleading statements about the effectiveness of the following Hyland s products: (i) Cold n Cough 4 Kids, (ii) Cough Syrup with 100% Natural Honey, (iii) Sniffles n Sneezes 4 Kids, (iv) Cold Relief Strips 4 Kids with Zinc, (v) Nighttime Cold n Cough 4 Kids, (vi) Complete Flu Care 4 Kids, (vii) Baby Teething Gel, (viii) Baby Cough Syrup, (ix) Baby Gas Drops, (x) Baby Infant Earache Drops, and (xi) Baby Nighttime Tiny Cold Syrup ( Class Products ). Hyland s denies this claim. The Court has not ruled in favor of Plaintiffs or Hyland s. Instead, the parties agreed to a proposed settlement to avoid the expense and risks of continuing the lawsuit. AM I A MEMBER OF THE CLASS? The class is defined as: All persons in the United States who purchased the following Hyland s products on or after March 8, 2008: (i) Cold n Cough 4 Kids, (ii) Cough Syrup with 100% Natural Honey, (iii) Sniffles n Sneezes 4 Kids, (iv) Cold Relief Strips 4 Kids with Zinc, (v) Nighttime Cold n Cough 4 Kids, (vi) Complete Flu Care 4 Kids, (vii) Baby Teething Gel, (viii) Baby Cough Syrup, (ix) Baby Gas Drops, (x) Baby Infant Earache Drops, and (xi) Baby Nighttime Tiny Cold Syrup. WHAT DOES THE SETTLEMENT PROVIDE? Subject to Court approval, the parties have agreed to a settlement under which Hyland s will pay a full refund for Class Products purchased on or after March 8, You may submit a claim for a full refund of either (a) a maximum of two units of the products that you bought but do not have a proof of purchase for, and/or (b) each product you purchased for which you can provide a proof of purchase(the Settlement Benefit ). WHAT ARE MY RIGHTS? You have a choice of whether to stay in the Class or not, and you must decide this now. If you stay in the Class, you will be legally bound by all orders and judgments of the Court, and you won t be able to sue, or continue to sue, Hyland s as part of any other lawsuit involving the same claims in this lawsuit. This is true even if you do nothing by not submitting a claim. 1. You Can Accept the Settlement. Class Members who wish to receive Settlement Benefits must submit claims by June 28, You can get a Claim Form (1) on the Internet at (2) by calling , or (3) mailing a request for a Claim Form to Hyland s Products Litigation Administrator, P.O. Box is 43462, Providence, RI Read the instructions carefully, fill out the form, and submit it online on or before June 28, Alternatively, you may also submit a Claim Form by mailing it to the following address: Hyland s Products Settlement Administrator, P.O. Box 43462, Providence, RI It must be postmarked no later than June 28, If you fail to submit a timely Claim Form and do not exclude yourself from the settlement, then you will be bound by the settlement but will not receive any Settlement Benefits. 2. You Can Object to the Settlement. If you believe the settlement is unsatisfactory, you may file a written objection with the Clerk of the Court for the Central District of California by June 28, 2017, and send copies to the following Counsel representing the Class and Hyland s: Plaintiffs Counsel - L. Timothy Fisher, Bursor & Fisher, P.A., 1990 N. California Blvd., Suite 940, Walnut Creek, CA 94596; Hyland s Counsel - Jeffrey Margulies, Norton Rose Fulbright LLP, 555 South Flower St., Forty-First Floor, Los Angeles, CA You Can Opt Out of the Settlement. If you exclude yourself from the Class which is sometimes called opting-out of the Class you won t get any Settlement Benefits from the Proposed Settlement. You will also be responsible for any attorney s fees and costs you incur if you choose to pursue your own lawsuit. Such notice shall be in writing and include your name, current address, signature, and a statement that you want to be excluded from the lawsuit Forcellati v. Hyland s, Case No. 12-CV ODW, no later than June 28, Send the written notice to Hyland s Products Settlement Administrator, P.O. Box 43462, Providence, RI THE FAIRNESS HEARING. On August 14, 2017, at 1:30 p.m., the Court will hold a hearing in the United States District Court for the Central District of California to determine: (1) whether the proposed Settlement is fair, reasonable and adequate and should receive final approval; and (2) whether the application for Plaintiffs attorneys fees and expenses should be granted. Objections to the proposed Settlement by Class Members will be considered by the Court, but only if such objections are filed in writing with the Court and sent to Plaintiffs and Hyland s counsel by June 28, Class Members who support the proposed Settlement do not need to appear at the hearing or take any other action to indicate their approval. You may hire your own lawyer; however, if you do, you will be responsible for paying that lawyer on your behalf. HOW CAN I GET MORE INFORMATION? If you have questions or want more information about this lawsuit and your rights, visit You may also contact Class Counsel at info@bursor. com, or by writing to: Hyland s Products Settlement Administrator, P.O. Box 43462, Providence, RI , or by calling Para una notificación en Español, visite nuestro sitio de Web, Please do not contact the Court or Clerk for information. By order of the United States District Court for the Central District. ADVERTISE TO OVER 3 MILLION with USA TODAY and 35 local Gannet papers Advertising available now on Sundays! Call Today! (800) IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: ) Chapter 11, Case No (KG) EMERALD OIL,INC.,et al., 1 ) (Jointly Administered) Debtors. ) Re: Docket No.1132 & 1134 NOTICE OF (I) ENTRY OF CONFIRMATION ORDER,(II) OCCURRENCE OF EFFECTIVE DATE, AND (III) RELATED BAR DATES TO CREDITORS,EQUITY HOLDERS,AND OTHER PARTIES IN INTEREST: PLEASE TAKE NOTICE that on March 24, 2017, the United States Bankruptcy Court for the District of Delaware (the Court ) confirmed the Debtors Amended JointPlanofLiquidation(AsModified)PursuanttoChapter11oftheBankruptcyCode, dated March 24, 2017, which was attached as Exhibit A to the Order Confirming Debtors Joint Plan of Liquidation (As Modified) Pursuant to Chapter 11 of the BankruptcyCode[DocketNo.1134](the ConfirmationOrder ). 2 PLEASETAKE FURTHER NOTICEthatthe EffectiveDate,asdefinedinthePlan, occurredonapril7,2017. PLEASETAKE FURTHER NOTICEthat the release,exculpation,and injunction provisionsoftheplanarenowinfullforceandeffect. PLEASE TAKE FURTHER NOTICE that pursuant to Article V.D of the Plan, unless otherwise provided by a Final Order of the Court,any Proofs of Claim based on the rejection of the Debtors Executory Contracts or Unexpired Leases pursuant to the Plan or otherwise must be Filed with the Court and served on the Plan Administrator no later than the earlier of: (a) May 8, 2017 (or 30 days after the Effective Date); and (b) 30 days after the effective date of the rejection of such ExecutoryContractorUnexpiredLease. AnyHoldersofClaimsarisingfromthe rejectionofanexecutorycontractorunexpiredleaseforwhichproofsof Claims were not timely Filed as set forth above shall not (1) be treated as a creditor with respect to such Claim, (2) be permitted to vote to accept or reject the Plan on account of any Claim arising from such rejection, or (3) participate in any distribution in the Chapter 11 Cases on account of such Claim, and any Claims arising from the rejection of an Executory Contract or Unexpired Lease not Filed with the Court within such time willbeautomaticallydisallowed,foreverbarredfromassertion,andshall not be enforceable against the Debtors, the Post-Effective Date Debtor, thedebtors Estates,orthepropertyforanyoftheforegoingwithoutthe needforanyobjectionbythedebtorsortheplanadministrator,asapplicable,orfurthernoticeto,oraction,order,orapprovalofthecourtorany other Entity, and any Claim arising out of the rejection of the Executory ContractorUnexpiredLeaseshallbedeemedfullycompromised,settled, and released, notwithstanding anything in the Schedules or a Proof of Claimtothecontrary. PLEASE TAKE FURTHER NOTICE that, except as otherwise provided by the Confirmation Order, the Plan, or a Final Order of the Court, the deadline for filing requests for payment of Administrative Claims shall be May 8,2017 (which is the first Business Day that is 30 days after the Effective Date), except with respect to ProfessionalFeeClaims,whichareaddressedbelow. PLEASETAKEFURTHERNOTICEthat,pursuanttothePlan,thedeadlinetofile final requests for payment of Professional Fee Claims is June 6,2017 (which is 60 days after the Effective Date,the Professional Fee Application Deadline ). All professionalsmustfilefinalrequestsforpaymentofprofessionalfeeclaimsbynolater than the Professional Fee Application Deadline to receive final approval of the fees andexpensesincurredinthesechapter11cases. PLEASETAKEFURTHERNOTICEthatthePlananditsprovisionsarebindingon the Debtors,the Plan Administrator,the Post-Effective Date Debtor,any Holder of a Claim or Interest and such Holder s respective successors and assigns,whether or not the Claim or Interest of such Holder is Impaired under the Plan,and whether or notsuchholderorentityvotedtoaccepttheplan. PLEASE TAKE FURTHER NOTICE that copies of the Plan, the Confirmation Order, and any other related documents also may be obtained (a) free of charge upon request to Donlin, Recano & Company, Inc. (the notice and claims agent retained in these chapter 11 cases) by calling 1 (877) ;(b) by visiting the website maintained in these chapter 11 cases at emeraldor(c)forafeeviapacerbyvisitinghttp:// Wilmington,Delaware,Dated: April7,2017 /s/ Laura Davis Jones,Laura Davis Jones (DE Bar No.2436),Colin R.Robinson (DE Bar No.5524), Joseph M.Mulvihill (DE Bar No.6061), PACHULSKI STANG ZIEHL & JONES LLP, 919 North Market Street, 17th Floor, P.O. Box 8705, Wilmington, Delaware (Courier 19801), Telephone: (302) , Facsimile: (302) , ljones@pszjlaw.com,crobinson@pszjlaw.com,jmulvihill@ pszjlaw.com -and- James H.M. Sprayregen, P.C., Ryan Blaine Bennett (admitted pro hac vice), Travis M. Bayer (admitted pro hac vice), KIRKLAND & ELLIS LLP, KIRKLAND & ELLIS INTERNATIONAL LLP, 300 North LaSalle, Chicago, Illinois 60654, Telephone: (312) , Facsimile: (312) , james. sprayregen@kirkland.com, ryan.bennett@kirkland.com, travis.bayer@kirkland. com,counseltothedebtors 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor s federal tax identification number, include: Emerald Oil, Inc. (9000); Emerald DB, LLC (2933); Emerald NWB, LLC (7528); Emerald WB LLC (8929); and EOX Marketing, LLC (4887). The location of the Debtors service address is: 200 ColumbineStreet,Suite500,Denver,Colorado Capitalizedtermsusedbutnotdefinedhereinshallhavethemeaningsascribed tothemintheplanandtheconfirmationorder,asapplicable.

23 4D LIFE Case 2:12-cv ODW-MRW Document Filed 06/19/17 Page 23 of 27 Page ID #:13603 USA TODAY THURSDAY, APRIL 20, 2017 To view more Classified listings, visit: BUSINESS PUBLIC NOTICE To place your Public Notice in our Classified section, call: NOTICES LEGAL NOTICE LEGAL NOTICE If You Purchased Certain Hyland s Homeopathic Products, You Could Receive a Cash Payment as Part of a Proposed Class Action Settlement Forcellati v. Hyland s Inc., Case No. 12-CV ODW (MRW) WHAT IS THIS NOTICE ABOUT? A lawsuit is pending in the United States District Court, Central District of California, (the Action ) that may affect your rights. The Action claims that Hyland s Inc., Standard Homeopathic Laboratories Inc., and Standard Homeopathic Company ( Hyland s ) made false and misleading statements about the effectiveness of the following Hyland s products: (i) Cold n Cough 4 Kids, (ii) Cough Syrup with 100% Natural Honey, (iii) Sniffles n Sneezes 4 Kids, (iv) Cold Relief Strips 4 Kids with Zinc, (v) Nighttime Cold n Cough 4 Kids, (vi) Complete Flu Care 4 Kids, (vii) Baby Teething Gel, (viii) Baby Cough Syrup, (ix) Baby Gas Drops, (x) Baby Infant Earache Drops, and (xi) Baby Nighttime Tiny Cold Syrup ( Class Products ). Hyland s denies this claim. The Court has not ruled in favor of Plaintiffs or Hyland s. Instead, the parties agreed to a proposed settlement to avoid the expense and risks of continuing the lawsuit. AM I A MEMBER OF THE CLASS? The class is defined as: All persons in the United States who purchased the following Hyland s products on or after March 8, 2008: (i) Cold n Cough 4 Kids, (ii) Cough Syrup with 100% Natural Honey, (iii) Sniffles n Sneezes 4 Kids, (iv) Cold Relief Strips 4 Kids with Zinc, (v) Nighttime Cold n Cough 4 Kids, (vi) Complete Flu Care 4 Kids, (vii) Baby Teething Gel, (viii) Baby Cough Syrup, (ix) Baby Gas Drops, (x) Baby Infant Earache Drops, and (xi) Baby Nighttime Tiny Cold Syrup. WHAT DOES THE SETTLEMENT PROVIDE? Subject to Court approval, the parties have agreed to a settlement under which Hyland s will pay a full refund for Class Products purchased on or after March 8, You may submit a claim for a full refund of either (a) a maximum of two units of the products that you bought but do not have a proof of purchase for, and/or (b) each product you purchased for which you can provide a proof of purchase(the Settlement Benefit ). WHAT ARE MY RIGHTS? You have a choice of whether to stay in the Class or not, and you must decide this now. If you stay in the Class, you will be legally bound by all orders and judgments of the Court, and you won t be able to sue, or continue to sue, Hyland s as part of any other lawsuit involving the same claims in this lawsuit. This is true even if you do nothing by not submitting a claim. 1. You Can Accept the Settlement. Class Members who wish to receive Settlement Benefits must submit claims by June 28, You can get a Claim Form (1) on the Internet at (2) by calling , or (3) mailing a request for a Claim Form to Hyland s Products Litigation Administrator, P.O. Box is 43462, Providence, RI Read the instructions carefully, fill out the form, and submit it online on or before June 28, Alternatively, you may also submit a Claim Form by mailing it to the following address: Hyland s Products Settlement Administrator, P.O. Box 43462, Providence, RI It must be postmarked no later than June 28, If you fail to submit a timely Claim Form and do not exclude yourself from the settlement, then you will be bound by the settlement but will not receive any Settlement Benefits. 2. You Can Object to the Settlement. If you believe the settlement is unsatisfactory, you may file a written objection with the Clerk of the Court for the Central District of California by June 28, 2017, and send copies to the following Counsel representing the Class and Hyland s: Plaintiffs Counsel - L. Timothy Fisher, Bursor & Fisher, P.A., 1990 N. California Blvd., Suite 940, Walnut Creek, CA 94596; Hyland s Counsel - Jeffrey Margulies, Norton Rose Fulbright LLP, 555 South Flower St., Forty-First Floor, Los Angeles, CA You Can Opt Out of the Settlement. If you exclude yourself from the Class which is sometimes called opting-out of the Class you won t get any Settlement Benefits from the Proposed Settlement. You will also be responsible for any attorney s fees and costs you incur if you choose to pursue your own lawsuit. Such notice shall be in writing and include your name, current address, signature, and a statement that you want to be excluded from the lawsuit Forcellati v. Hyland s, Case No. 12-CV ODW, no later than June 28, Send the written notice to Hyland s Products Settlement Administrator, P.O. Box 43462, Providence, RI THE FAIRNESS HEARING. On August 14, 2017, at 1:30 p.m., the Court will hold ahearing in the United States District Court for the Central District of California to determine: (1) whether the proposed Settlement is fair, reasonable and adequate and should receive final approval; and (2) whether the application for Plaintiffs attorneys fees and expenses should be granted. Objections to the proposed Settlement by Class Members will be considered by the Court, but only if such objections are filed in writing with the Court and sent to Plaintiffs and Hyland s counsel by June 28, Class Members who support the proposed Settlement do not need to appear at the hearing or take any other action to indicate their approval. You may hire your own lawyer; however, if you do, you will be responsible for paying that lawyer on your behalf. HOW CAN I GET MORE INFORMATION? If you have questions or want more information about this lawsuit and your rights, visit You may also contact Class Counsel at info@bursor. com, or by writing to: Hyland s Products Settlement Administrator, P.O. Box 43462, Providence, RI , or by calling Para una notificación en Español, visite nuestro sitio de Web, Please do not contact the Court or Clerk for information. By order of the United States District Court for the Central District. BUSINESS OPPORTUNITIES MAKE $6,500+ WEEKLY We have a proven franchise like business model with a complete marketing system in place. Let our outsourcing team & automation process work for you. Serious Entrepreneurs Only. Start Immediately. CALL: MARKETPLACE HEALTH/FITNESS MARKETPLACE BOOKS/PUBLICATIONS FREE BOOK God's Puzzle Solved Box 1197 Montgomery, TX GodsPuzzleSolved.com art@mokarow.com Youtube: Biblical History BibleStudyMadeEasy.com No donations ever accepted Additional online listings are available on classifieds.usatoday.com NOTICES PUBLIC NOTICE IN THE UNITED STATES Bankruptcy Court For the DISTRICT OF DELAWARE In re: Chapter 11 CALIFORNIA PROTON TREATMENT Case No LSS CENTER, LLC, Hon. Laurie Selber Silverstein Debtor. Re: Docket Nos. 95, 96, 158 NOTICE OF BIDDING PROCEDURES PLEASE TAKE NOTICE that on March 24, 2017, California Proton Treatment Center, LLC (the Debtor ) filed a motion (the Bidding Procedures and Sale Motion ) with the United States Bankruptcy Court for the District of Delaware (the Bankruptcy Court ). PLEASETAKE FURTHER NOTICE that on April 12, 2017, the Bankruptcy Court entered an order [Docket No.158] (the Bidding Procedures Order ) approving Bidding Procedures (the Bidding Procedures ), which set key dates, times and procedures related to the sale of substantially of the Debtor s assets (the Transferred Assets ). All interested bidders should carefully read the Bidding Procedures. To the extent that there are any inconsistencies between the Bidding Procedures and the summary description of the terms and conditions contained in this Notice, the terms of the Bidding Procedures shall control. PLEASE TAKE FURTHER NOTICE that the Debtor has been and will continue to market the Transferred Assets in advance of the Auction. To be eligible to participate in the Auction, each Bid and each Bidder must be determined by the Debtor to comply with the conditions set forth in the Bidding Procedures. The deadline to submit a Qualified Bid is June 12, 2017 at 4:00 p.m. (prevailing Eastern Time) (the Bid Deadline ). To be conwsidered, any Bid must comply with the requirements set forth in the Bidding Procedures. PLEASE TAKE FURTHER NOTICE that, pursuant to the terms of the Bidding Procedures Order, an auction (the Auction ) will be conducted at the offices of Debtor s counsel, Polsinelli PC, 222 Delaware Avenue, Suite 1101, Wilmington, DE on June 15, 2017 at 10:00 a.m. (prevailing Eastern Time) or such later time on such day or other place as the Debtor shall notify all Bidders who have submitted Qualified Bids, or at another location as may be timely disclosed by the Debtor to all Qualified Bidders. PLEASE TAKE FURTHER NOTICE that, by April 19, 2017, the Debtor shall send a notice to each Contract Counterparty to an executory contract or unexpired lease setting forth the Debtor s calculation of the cure amount, if any, that would be owing to such counterparty if the Debtor decided to assume or assume and assign such executory contract or unexpired lease, and alerting such nondebtor party that their contract may be assumed and assigned to the Successful Bidder (the Cure and Possible Assumption and Assignment Notice ). Any Contract Counterparty that objects to the cure amount set forth in the Cure and Possible Assumption and Assignment Notice or the possible assignment of their executory contract or unexpired lease to the Successful Bidder must file an objection (a Cure or Assignment Objection ) on or before 4:00 p.m. prevailing Eastern Time on June 19, 2017, which Cure or Assignment Objection must be served on (i) counsel for the Debtor, Locke Lord LLP, 111 S. Wacker Drive, Chicago, IL 60606, Attn.: David W. Wirt (dwirt@lockelord.com) and Aaron C. Smith (asmith@lockelord.com), and Polsinelli PC, 222 Delaware Avenue, Suite 1101, Wilmington, Delaware 19801, Attn Christopher A. Ward (cward@polsinelli.com), (ii) counsel to the Agent, Milbank, Tweed, Hadley & McCloy LLP, 2029 Century Park East, 33rd Floor, Los Angeles, California 90067, Attn: Gregory A. Bray (gbray@milbank.com) and Haig M. Maghakian (hmaghakian@milbank.com), and Richards, Layton & Finger, P.A., 920 North King Street, Wilmington, Delaware 19801, Attn: Mark D. Collins (collins@rlf.com), (iii) the Office of the United States Trustee for the District of Delaware, J. Caleb Boggs Federal Building, 844 King Street, Ste Lockbox #35, Wilmington, DE 19801, Attn: Linda J. Casey (linda.casey@usdoj.gov), and (iv) the Clerk of the Bankruptcy Court for the District of Delaware, 824 North Market Street, 3rd Floor, Wilmington, DE 19801, so that it is actually received no later than 4:00 p.m. prevailing Eastern Time on June 19, If a Contract Counterparty does not timely file and serve a Cure or Assignment Objection, that party will be forever barred from objecting to (a) the Debtor s proposed cure amount, or (b) the assignment of that party s executory contract or unexpired lease to the Successful Bidder. PLEASE TAKE FURTHER NOTICE that a hearing will be held to confirm the results of the Auction and approve the transactions contemplated in the Bidding Procedures and the Bidding Procedures and Sale Motion to the Successful Bidder at the Auction (the Sale Hearing ) before the Honorable Laurie Selber Silverstein, on June 23, 2017 at 10:00 a.m. (prevailing Eastern Time), or at such time thereafter as counsel may be heard. The Sale Hearing may be continued from time to time by the Bankruptcy Court or the Debtor without further notice other than such adjournment announced in open court or a notice of adjournment filed with the Bankruptcy Court and served on the Notice Parties and the entities who have filed objections to the Bidding Procedures and Sale Motion, without further notice to other parties in interest. Objections to the sale of the Transferred Assets to the Successful Bidder or the Backup Bidder must be filed and served so that they are actually received by the Debtor no later than 4:00 p.m. (prevailing Eastern Time) on June 19, PLEASETAKE FURTHER NOTICE that this Notice is subject to the full terms and conditions of the Bidding Procedures and the Bidding Procedures Order, which shall control in the event of any conflict with this Notice. The Debtor encourages parties in interest to review such documents in their entirety. A copy of the Bidding Procedures and the Bidding Procedures Order may be obtained (i) by contacting counsel for the Debtor, Locke Lord LLP, 111 S. Wacker Drive, Chicago, IL 60606, Attn: David W. Wirt (dwirt@ lockelord.com) and Aaron C. Smith (asmith@lockelord.com), and Polsinelli PC, 222 Delaware Avenue, Suite 1101, Wilmington, Delaware 19801, Attn Christopher A. Ward (cward@lockelord.com), or (ii) for a fee via PACER at LOCKE LORD LLP POLSINELLI PC David W. Wirt Christopher A. Ward Aaron C. Smith Justin K. Edelson 111 S. Wacker Drive 222 Delaware Avenue, Suite 1101 Chicago, Illinois Wilmington, Delaware Telephone: (312) Telephone: (302) Fax: (312) Fax: (302) COUNSEL FOR THE DEBTOR COUNSEL FOR THE DEBTOR Reach 2.5 Million Readers Call To Advertise: PUZZLES CROSSWORD BY Vic Fleming WELCOME ABOARD! ACROSS 1 Hockey or baseball statistic 7 The View network 10 Lightbulb,incomics 14 Worker with shingles 15 HarryPotter pal Weasley 16 Not far away 17 Bit ground by a barista 19 QuakersorShakers 20 Thumbs-down vote 21 Big Band 22 Tales of Greek gods, e.g. 23 BoDiddley tune covered by the Yardbirds 26 Rough file 30 Cookie at a 4:00 social, perhaps 34 JockeyEddie with two Triple Crowns 36 Substances banned by MLB 37 Cpl. or sgt. 38 Lusitania s undoing 40 More minuscule 42 Manuscriptencl. 43 California wine valley 45 Theway things stand Vagueendingtoa list 49 Prefix meaning foreign 50 Brunch entree 51 Donut in a car trunk 54 Beluga or shad yield 56 Place to soak 59 Reactiontoa mishap Spencer Tracy movie 64 Head for the hills Across ingredient 66 Hardly macho 67 Deep-six 68 Bunion sspot 69 Lady friend of Seinfeld Andrews McMeel 4/20 DOWN 1 Parenthesis shape 2 Any day now 3 Part of a living room set 4 Subject to chance 5 Told you so! 6 Ancestry.com diagram 7 Guideforawalking tour 8 Feathery neckwear 9 Anderson Cooper s channel 10 Together,asaudio and video 11 Chemical in insect repellents 12 Unit price word 13 Companion of crafts 18 Cheese in dessert recipes 22 Hoi polloi, with the 24 Help in a heist 25 Like some cartilage piercings 26 Dustin srolein Midnight Cowboy 27 Loud, like a crowd 28 Threaded fastener 29 Mushy fare 30 Two-thirds of YTD 31 Join forces 32 Strand at a chalet, perhaps 33 Common sculpture 35 Giveanew handle to 39 GM s German subsidiary 41 Put the kibosh on 44 Statistic for a bowler or batter 47 Derby entries 48 School founded in Likerootbeer, butnotbeer 52 Sport played by Prince Charles 53 Friends of Tarzan 55 Defeat, barely 56 Banksseenon runways 57 Fruit named for its unsightliness Answers: Call , 99 cents a minute; or, with a credit card, Donald who wrote a 1963 memoir seen in thefirst words of 17-, 30-, 46- and 60-Across 60 Bumped into 61 Psychoanalysis topic 62 Wire thickness measure 63 Chi-Raq director Spike Wednesday s Answer 4/19 CROSSWORDS ON YOUR PHONE mobilegames.usatoday.com WORD ROUNDUP By David L. HoytandJeff Knurek Find and Circle: Seven words ending in IC Five land formations Gold, silver and bronze positions Matt Damon in The on the Bounty Wednesday s answer: BALM CALM FILM PALM / FUNGUS MUSEUM AUTUMN GURU /MOTIVATE PARANOID OPERATOR/ROCK FOLK JAZZ / MOLE BOARGOAT QUICKCROSS By John Wilmes 4/20 SUDOKU Alum Hawkeye State Soccer score Vodka brand Wednesday s Answer P L A N H A L E I N T O L E O N 4/19 Musician s jobs Chess piece Not home Complete thegridsothat every row, column and 3x3 box contains thenumbers 1 through9(no repeats) Golfer John QUICKCROSS ON YOUR PHONE mobilegames.usatoday.com 4/20 DIFFICULTYRATING SUDOKU FUSION ON YOUR PHONE mobilegames.usatoday.com Andrews McMeel Report puzzle problems to us at feedback@usatoday.com or Andrews McMeel 4/20 UP &DOWNWORDS By David L. HoytandRussell L. Hoyt 1. NATIONAL Andrews McMeel E J M OUN T A I N C P L P T H I R D X C I M L C L I N I C C I P D A A I L R C C I N O F N R T S I V I B O T Z I O T E A H M U T I N Y R C I A B OCAN Y O N S E A U C I S L A N D R T S N R Clues: 1. Lynx, toromania 2. Critters, collectively 3.The afterlife 4. What dreams may do 5. HBO vampire show 6. Nurses often take it 7.Crock-Pot alternative Complete thegridsothat every row, column and 3x2 box contains thenumbers 1 through6(no repeats) DIFFICULTY RATING Wednesday s Answers COOKER PLAY ONLINE PUZZLES.USATODAY.COM Wednesday s Answer GOOD AT AT FIRST FIRST OFFER OFFER UP UP ELEVATOR ELEVATOR MUSIC MUSIC MAN /19 4/20 Andrews McMeel /20 TXTPERT Today s theme House and home A N C T O R 2 E Across Down Use the B O S O N E L phone U M 5 A keypad to 6 E M B O Y decode the clues. L U L For example: could be A, A U N T O K BorC...and A O I 5678 could 10 9 be LOST P A L D A D USATODAYand Rich Coulter Yesterday s solution 4/19 DON T QUOTE ME WIGGLES 3D GAMES Poet Maya Angelou Rearrange the words to complete the quote. offers this insight. AGAIN BUT CAN HOME LEAVE NEVER RIGHT TRUTH YOU CAN GO HOME, THE ISYOU NEVER,SOIT S ALL. 4/20 Wednesday s Answer: Service to othersistherentyoupay for your room hereonearth. -Muhammad Ali

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