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IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS, HOUSTON DIVISION In re: ZYNEX, INC., et al., Debtors. [1] Chapter 11, Case No. 25-90810 (ARP), (Jointly Administered) NOTICE OF DEADLINES FOR FILING PROOFS OF CLAIM PLEASE TAKE NOTICE OF THE FOLLOWING: 1. Commencing on December 15, 2025 (the "Petition Date"), the Debtors filed voluntary petitions for relief under chapter 11 of the Bankruptcy Code in the United States Bankruptcy Court for the Southern District of Texas (the "Court"). Set forth below are the name, federal tax identification number and the case number for each of the Debtors: Name of Debtor, Case Number, Employer Identification Number: Zynex, Inc., 25-90810 (ARP), 90-0275169; Zynex Management LLC, 25-90809 (ARP), 41-3011267; Zynex Monitoring Solutions, Inc., 25-90811 (ARP), 27-2414516; Zynex NeuroDiagnostic, Inc., 25-90812 (ARP), 27-2144515; Zynex Medical, Inc., 25-90813 (ARP), 84-1451963; Pharmazy, Inc., 25-90814 (ARP), 47-5390056; Kestrel Labs, Inc., 25-90815 (ARP), 75-3013775 2. On January 13, 2026, the Court entered the Order (I) Establishing Deadlines and Procedures for Filing Proofs of Claim, (II) Approving Form and Manner of Notice Thereof, and (III) Granting Related Relief (Docket No. 168) (the "Bar Date Order"). [2] 3. Pursuant to the Bar Date Order, all persons, entities, and governmental units who have a claim or potential claim, including any claims under section 503(b)(9) of the Bankruptcy Code, [3] against any of 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, so as to be received on or before February 10, 2026 at 5:00 p.m. (Central Time) for general creditors (the "General Bar Date") and June 15, 2026 for governmental units (the "Governmental Bar Date," and together with the General Bar Date, the "Bar Dates"), by (i) filing such Proof(s) of Claim electronically through Epiq, at https://dm.epiq11.com/case/Zynex; (ii) filing such Proof(s) of Claim electronically through PACER (Public Access to Court Electronic Records), at https://ecf.txsb.uscourts.gov; or (i) mailing the original Proof(s) of Claim to Epiq at the following address: If by First- Class Mail: Zynex, Inc.,Claims Processing Center, c/o Epiq Corporate Restructuring, LLC, P.O. Box 4421, Beaverton, OR 97076-4421; If by Hand Delivery or Overnight Mail: Zynex, Inc., Claims Processing Center, c/o Epiq Corporate Restructuring, LLC, 10300 SW Allen Blvd., Beaverton, OR 97005. PROOFS OF CLAIM SENT BY FACSIMILE OR E-MAIL WILL NOT BE ACCEPTED. 4. The Bar Dates apply to all claims against the Debtors arising under section 503(b)(9) of the Bankruptcy Code; provided, however, that the Bar Dates do not apply to the Excluded Claims listed in paragraph 10 of the Bar Date Order. 5. 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 ACCORDANCE WITH THE INSTRUCTIONS ABOVE WILL NOT BE TREATED AS A CREDITOR FOR PURPOSES OF VOTING UPON, OR RECEIVING DISTRIBUTIONS UNDER, ANY PLAN OR PLANS OF REORGANIZATION OR LIQUIDATION IN THE CHAPTER 11 CASES. 6. Proof of claim forms and a copy of the Bar Date Order may be obtained by visiting https://dm.epiq11.com/case/Zynex, maintained by the Debtors' claims and noticing agent, Epiq Corporate Restructuring, LLC ("Epiq"). Questions concerning the contents of this Notice and requests for copies of filed proofs of claim should be directed to Epiq through email at Zynexinfo@epiqglobal.com. Please note that neither Epiq's staff, counsel to the Debtors, nor the Clerk of the Court's Office is permitted to give you legal advice. Epiq cannot advise you how to file, or whether you should file, a proof of claim. A HOLDER OF A POSSIBLE CLAIM AGAINST THE DEBTORS SHOULD CONSULT AN ATTORNEY REGARDING ANY MATTERS NOT COVERED BY THIS NOTICE, SUCH AS WHETHER THE HOLDER SHOULD FILE A PROOF OF CLAIM. [1] The Debtors in these chapter 11 cases, along with the last four digits of each Debtor's federal tax identification number, are: Zynex, Inc. (5169); Zynex Monitoring Solutions, Inc. (4516); Zynex NeuroDiagnostics, Inc. (4515); Zynex Medical, Inc. (1963); Pharmazy, Inc. (0056); Kestrel Labs, Inc. (3775); and Zynex Management LLC (1267). The location of the Debtors' service address for purposes of these chapter 11 cases is: 9655 Maroon Circle Englewood, CO 80112. A complete list of the Debtors in these chapter 11 cases may be obtained on the website of the Debtors' proposed claims and noticing agent at https://dm.epiq11.com/Zynex. [2] Capitalized terms used but not otherwise defined herein have the meanings ascribed to them in the Bar Date Order. [3] A claim arising under section 503(b)(9) of the Bankruptcy code is a claim arising from the value of any goods received by the Debtors within twenty (20) days before Petition Date, provided that the goods were sold to the Debtors in the ordinary course of the Debtors' business. Show more »
Post Date: 01/14 12:00 AM
Refcode: #IPLSFC01205470 

 

NOTICE OF INTENTION TO CIRCULATE INITIATIVE PETITION Notice is hereby given by the persons whose names appear hereon of their intention to circulate a petition within the Public Transit Revenue Measure District for the purpose of placing on the November 3, 2026, general election ballot a measure to prevent catastrophic service cuts to Bay Area public transit systems and to provide for road repairs, thereby preserving critical transportation systems that residents depend on every day to get to and from work, school, doctor's appointments, grocery shopping, and social activities. A statement of the reasons for the proposed action as contemplated in the petition is as follows: The Bay Area's public transit network is the backbone of the region's economy and communities, connecting residents and visitors to job sites, businesses, schools and universities, health care, recreation, and various other services and life activities. However, public transit systems are experiencing severe financial pressures as federal and state funding is expiring. Without new sources of funding, transit agencies will be required to significantly reduce services including elimination of entire lines, closure of stations, reductions in service frequency, contraction of service hours and elimination of service on weekends. In order to prevent such devastating cuts, this measure will impose a temporary sales and use tax of 0.5% in the Counties of Alameda, Contra Costa, San Mateo, and Santa Clara, and 1% in the City and County of San Francisco, which is expected to generate approximately $980 million annually that will support BART, San Francisco Muni, Caltrain, AC Transit, VTA, Golden Gate Transit, San Francisco Bay Ferry, road repair and repaving, Clipper START and other reduced-fare programs, and improved disability access programs, all in the five Bay Area counties. Funds generated by this measure will be subject to strict oversight and accountability requirements, including financial efficiency reviews and oversight by an independent committee to ensure all revenues are spent on their intended purposes. Funds may be withheld from specified transit agencies that do not meet certain standards of safety, cleanliness, service, and other standards. /s/ /s/ Emily Loper Lian Chang Proponents of the Initiative Show more »
Post Date: 01/13 12:00 AM
Refcode: #IPLSFC0034403 

 

CITATION TO APPEAR THE PEOPLE OF THE STATE OF CALIFORNIA: TO INESSE DIEHR: By Order of this Court, you are hereby advised that you may appear before Department _L of the above-entitled Court on February 2, 2026, at 9:00 a.m., of that day, then and there to show cause, if any you have, why your parental rights relation to ANIYA DIEHR KLOTZ (born 12/25/2015), a minor, should not be terminated according to the Application for Freedom From Parental Control (the "Petition") and Declaration in Support of the Petition on file herein. The Petition is filed for the purpose of freeing the minor for adoption. For a proceeding filed under this provision, you have the right to counsel; if you are unable to afford counsel, the court shall appoint counsel for you unless that representation is knowingly and intelligently waived. The court shall consider whether the interests of the child require the appointment of counsel. If the court finds that the interest of the child requires representation by counsel, the court shall appoint counsel to represent the child, whether or not, the child is able to afford counsel. The child shall not be present in the Court unless the child requests of the Court so orders. The address of the Court is 3501 Civic Center Drive, San Rafael, California. Given under my hand and seal of the Superior Court of California, County of Marin. Show more »
Post Date: 12/17 12:00 AM
Refcode: #IPLSFC01168030 
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