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Re: Fwd: IMPORTANT INFORMATION REGARDING POTENTIAL CLAIMS RELATED TO 23ANDME HOLDING CO.'S CHAPTER 11 CASES



Well, it's nice that, at least, they're telling you. > From: Bhavani <http://www.gmail.com/~bhavaniowl> > Date: Sun, 11 May 2025 13:58:47 -0600 > > ---------- Forwarded message --------- > From: <http://www.noticing.ra.kroll.com/~23andmebankruptcynoticing> > Date: Sun, May 11, 2025 at 10:00 AM > To: <http://www.gmail.com/~bhavaniowl> > > *In re: 23andMe Holding Co., et al., Chapter 11 – Case No. 25-40976-357 > (Jointly Administered)* > > TO: *All Current and Former Customers of 23andMe Holding Co. and its Debtor > Subsidiaries (the “Debtors”)*: > > On March 23, 2025, 23andMe Holding Co. and 11 debtor subsidiaries > (collectively, the “*Debtors*”) each filed a voluntary petition for relief > under chapter 11 of the United States Bankruptcy Code in the United States > Bankruptcy Court for the Eastern District of Missouri, Eastern Division > (the “*Court*”) (*see* *Notice of Commencement* > < > https://u52614290.ct.sendgrid.net/ls/click?upn=u001.kjcfxJ77c993aHNM490-2Bl38sUJBlS71ILmJUN791JCX6Pw9lqzJ7N4jPvlsZv4j-2BHpMC7Sd5U5sKn90Whk5WCZp-2B5rwlSL-2F8MfQzNzX0A2s-3DAVVp_8C9k-2F0tVuCNtrl-2FKP2HD-2FJlB1JI7hQYURcVb1H24OAGD3LvYpJ-2B0X4sla4VdStBMj88tntcezO4h8zSR6nvYB-2BvKGapLEQvv0exir8MMNUrixzBAkwTbRPj5fYVrb0syfeoVoZFS1U4gmQGQXMP1mF5PSImnZVdC9uyJUbx-2F4JVR8mHeYDFdZcmFbBWaybr6e7q3jhYjANmIlwyKGJKuB5JNkdWuCC6DNQsajC1ivGbge0I7pKlFRQI7Vh-2F-2BjdX-2F > > > ). > > The Court has entered an order (the “*Bar Date Order*”) setting deadlines > (each, a “*Bar Date*” and collectively, the “*Bar Dates*”) for filing > proofs of claim or requests for payment of certain administrative expenses > in these chapter 11 cases. > > This notice (the “*Notice of Instruction*”) is being provided to all > current and former customers of 23andMe Holding Co. and its subsidiaries, > including Lemonaid Health (collectively, “*23andMe*”), and is intended to > provide such customers with additional information to assist in determining > if you have a claim and filing proofs of claim. This notice will also be > filed with the Court and accessible via the public docket. Receipt of this > notice does not necessarily mean that you have a claim. > > There are two claim packages (each, a “*Bar Date Package*” and > collectively, the “*Bar Date Packages*”): the *General Bar Date Package* > < > https://u52614290.ct.sendgrid.net/ls/click?upn=u001.kjcfxJ77c993aHNM490-2Bl38sUJBlS71ILmJUN791JCWEK7loo14DQZNB1ktfLRvCWUWt8eDit7qkKvvikb8sfavLRg2QqcDDjAoml4TCLz0-3DLX2h_8C9k-2F0tVuCNtrl-2FKP2HD-2FJlB1JI7hQYURcVb1H24OAGD3LvYpJ-2B0X4sla4VdStBMn3sz6-2FVP4VddyEBWj028Z-2B6X-2Bu8ERO8ztJxtewM8LE9r2qlASLGls9MgsM84jsZ7OuT-2B-2FQP09Qyrfko2bd85EstwiPrvholB6YhNeo8-2FelexUptfMJO1RN-2BeCFyUykVChfmooVvJh7-2B9dsl1TXsfCp0IgJxKJ8CE-2B-2F6I8Itd2Jv7EvQIi7PPusGKqVcAm6T2 > > > and the *Cyber Security Incident Bar Date Package* > < > https://u52614290.ct.sendgrid.net/ls/click?upn=u001.kjcfxJ77c993aHNM490-2Bl38sUJBlS71ILmJUN791JCVjJNQYwAzTOdz-2BYotRmOmGRFdi-2BGzZcWsl9q42JEJcUDUeQnf-2B-2FiEIYLpH24Kw-2FHccq5fS6nxeh2-2B-2FPzFY1-2BnhcOGi_8C9k-2F0tVuCNtrl-2FKP2HD-2FJlB1JI7hQYURcVb1H24OAGD3LvYpJ-2B0X4sla4VdStBMn5vLQHBduuB4tuCmfVelvVESj2b-2BjGubfNkDyXRz9dxCPsGQcOyaR7cCaAH6HtPqq7BqXskShdTXYleikR-2BtBP6iexgOYEC97-2FvFuwkcpVPSmnEpY2PsoVClQVKrIF5Go6-2FbnNrecXaePyNY8R3Uf6ch-2FzjkUYahjVjgXps-2BEP3tAZwwiOfyAlsSYMrhz4Oq > > > > . > > *IF YOU ARE RECEIVING THIS NOTICE AND BELIEVE YOU HAVE A CLAIM AGAINST ANY > DEBTOR, YOU MUST SUBMIT THE APPLICABLE PROOF OF CLAIM FORMS IN ACCORDANCE > WITH THE INSTRUCTIONS SET FORTH BELOW ON OR BEFORE JULY 14, 2025.* > > * THE FAILURE TO TIMELY SUBMIT ANY PROOF OF CLAIM ON OR BEFORE JULY 14, > 2025 MAY RESULT IN THE WAIVER OF YOUR RIGHT TO ASSERT YOUR CLAIMS AGAINST > THE DEBTORS AND YOUR RIGHT TO DISTRIBUTIONS ON ACCOUNT OF ANY SUCH CLAIMS > UNDER A CHAPTER 11 PLAN IN THESE CASES.* > > Each of the Bar Date Packages correspond to a specific type of claim. *The > following instructions are provided to determine which Bar Date Package > applies to you:* > > - *Cyber Security Incident Bar Date Package.* This package applies only > if (i) you were a customer of 23andMe between May 1, 2023 and October 1, > 2023, (ii) you received notice from 23andMe that your personal information > was compromised in a data breach that was discovered and disclosed by > 23andMe in October 2023 (the “*Cyber Security Incident*”), and (iii) you > incurred monetary damages or non- monetary damages related to the Cyber > Security Incident. In that case, you may hold a cyber security incident > claim (a “*Cyber Security Incident Claim*”) and are a potential “Cyber > Security Incident Claimant.” The Cyber Security Incident Notice, included > herein as part of the Cyber Security Bar Date Package, provides > instructions you must follow to submit this type of claim. > - *General Bar Date Package*. This package applies if you believe that > you have any other claim against 23andMe and/or its subsidiaries that is > *not* a Cyber Security Incident Claim. The General Bar Date Notice, > included herein as part of the General Bar Date Package, provides > instructions you must follow to submit this type of claim. > - If you believe you have a claim arising from or related to the > Debtors’ DNA testing services (i.e., Ancestry Service, Health + > Ancestry > Service, 23andMe+ Premium and 23andMe+ Total Health), the Debtors advise > that *23andMe, Inc.* is the primary Debtor entity engaged in that > line of business. > - If you believe you have a claim arising from or related to the > Debtors’ telehealth business, the Debtors advise that *Lemonaid > Health, Inc.* is the primary Debtor entity engaged in that line of > business. > - If you believe you have a claim arising from or related to the > Debtors’ mail order pharmacy, the Debtors advise that *LPRXOne, LLC* > is the primary Debtor entity engaged in that line of business. > - If you believe that you have a Cyber Security Incident Claim *and* any > other type of claim against the Debtors, you must submit separate claims > for your Cyber Security Incident Claim and any such other claim in > accordance with the instructions below. > > *Additional information for customers who believe they have a Cyber > Security Incident Claim*: Please note that a settlement has been > preliminarily and conditionally approved in the multidistrict litigation > currently pending before the Honorable Edward M. Chen in the United States > District Court for the Northern District of Ca, MDL No. 3098 > (the “*Cyber > Class Action*”). The Cyber Class Action is currently stayed as a result of > these chapter 11 cases, not final, and the Debtors have not made a decision > (and reserve all rights) with respect to the treatment of the prepetition > settlement of the Cyber Class Action in these cases. To fully preserve your > claim(s), a proof of claim must be submitted in accordance with the > instructions provided in the Cyber Security Bar Date Package. *Failure to > do so may result in a waiver of your participation in any distributions on > account of your Cyber Security Incident Claim.* > > Additional information regarding 23andMe’s Chapter 11 filing, proceedings > and claims process is available at > *https://restructuring.ra.kroll.com/23andMe* > < > https://u52614290.ct.sendgrid.net/ls/click?upn=u001.kjcfxJ77c993aHNM490-2Blwhv4Jb3YXBwSnCjMdQEHoUVJrriAYyOyDmOHIjyNPN5VJRFUFFAWuZgTC-2FKMNQ0JA-3D-3DuTpl_8C9k-2F0tVuCNtrl-2FKP2HD-2FJlB1JI7hQYURcVb1H24OAGD3LvYpJ-2B0X4sla4VdStBMo2eLpO1wrRiaKBpzXd8MHH6zk7TfYp04jqKLtUFF1dlwblVG-2BMs5REqt4u4RHUdILw63X9kPoAPJcRGQnsHlzi-2B5pb136SEQxNudzJTRLCJGgREfsvSIcA-2BA-2BJqgtxpsBjDn4cnGY5bZYtYaXDAImVAUoDjdziP6vPuckk1rEUtBMTQ1v9qdLn5GOY8sose9 > >. > Questions about the claims process should be directed to the Company’s > claims agent, Kroll, at *http://www.ra.kroll.com/~23andMeInfo* > <http://www.ra.kroll.com/~23andMeInfo?subject=+&body=>, or by calling (888) 367-7556 > (Toll-Free in US/Canada) or +1 (646) 891-5055 (International). > > Nothing herein is an admission as to the amount of, basis for, or validity > of any claim against any Debtor entity and all rights of the Debtors and > other parties in interest are fully preserved as to any potential claims > and proofs of claims filed in these chapter 11 cases.


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