Air Methods Corp - Amended Bankruptcy 12-06-23 Case 23-90886 Document 341 Filed in TXSB on 12/28/23 Page 1 of 3
IN THE UNITED STATES BANKRUPTCY COURT
FOR THE SOUTHERN DISTRICT OF TEXAS
HOUSTON DIVISION
t §
In re: § Chapter 11
AIR METHODS CORPORATION, § Case No. 23-90886 (MI)
et al., §
§ (Jointly Administered)
Debtors) §
NOTICE OF PLAN EFFECTIVE DATE OF
AMENDED JOINT PREPACKAGED CHAPTER I I PLAN OF
AIR METHODS CORPORATION AND ITS AFFILIATED DEBTORS
PLEASE TAKE NOTICE that on December 6,2023,the Honorable Marvin Isgur, United
States Bankruptcy Judge for the United States Bankruptcy Court for the Southern District of Texas
(the "Bankruptcy Court"), entered the Findings of Fact, Conclusions of Law, and Order
(1)Approving Debtors' Disclosure Statement and (II) Confirming Amended Joint Prepackaged
Chapter 11 Plan of Air Methods Corporation and Its Affiliated Debtors (Docket No. 311) (the
"Confirmation Order") confirming the Amended Joint Prepackaged Chapter II Plan of Air
Methods Corporation and Its Affiliated Debtors, dated November 30, 2023 (Docket No. 279) (as
amended, supplemented, or otherwise modified from time to time in accordance with its terms, the
"Plan").2
PLEASE TAKE FURTHER NOTICE that on December 28, 2023 all conditions
precedent to consummation of the Plan were satisfied or waived in accordance with Article IX of
the Plan. Further,no stay of the Confirmation Order is in effect. Accordingly, December 28. 2023
is the Plan Effective Date. As of the Plan Effective Date, the injunction set forth in Article X of
the Plan is now in place.
PLEASE TAKE FURTHER NOTICE that, in accordance with Section 8.1 of the Plan,
on the Plan Effective Date, except as otherwise provided in the Plan, all executory contracts and
unexpired leases to which any of the Debtors are parties shall be deemed assumed as of and subject
to the occurrence of the Plan Effective Date, unless such contract or lease (i) was previously
The Debtors in these chapter 11 cases, along with the last four digits of each Debtor's federal tax identification
number, as applicable, are: Air Methods Corporation (5893), ASP AMC Holdings, Inc. (3873), ASP AMC
Intermediate Holdings, Inc. (2677), Air Methods Telemedicine, LLC (2091), United Rotorcraft Solutions, LLC
(2763), Mercy Air Service, Inc. (0626), LifeNet, Inc. (3381), Rocky Mountain Holdings, L.L.C. (3822), Air
Methods Tours,Inc.(4178),Tri-State Care Flight,L.L.C.(5216),Advantage LLC(2762),Enchantment Aviation,
Inc.(5198),Native Air Services. Inc.(8798),Native American Air Ambulance, Inc.(8800),AirMD, LLC(1368),
Midwest Corporate Air Care. LLC(N/A). The Debtors' mailing address is 5500 South Quebec Street, Suite 300,
Greenwood Village,CO 80111.
Capitalized terms used but not otherwise defined herein shall have the meanings ascribed to such terms in the
Plan.
Case 23-90886 Document 341 Filed in TXSB on 12/28/23 Page 3 of 3
Dated: December 28. 2023
Houston, Texas
's/ Gabriel A. Morgan
WEIL. GOTSHAL & MANGES LLP
Gabriel A. Morgan (24125891)
700 Louisiana Street, Suite 3700
Houston, Texas 77002
Telephone: (713) 546-5000
Facsimile: (713) 224-9511
Email: Gabriel.Morgan@weil.com
-and-
WEIL. GOTSHAL & MANGES LLP
Ray C. Schrock (admitted pro hac vice)
Kelly DiBlasi (admitted pro hac vice)
Kevin Bostel (admitted pro hac vice)
Alexander P. Cohen (24109739)
767 Fifth Avenue
New York, New York 10153
Telephone: (212) 310-8000
Facsimile: (212) 310-8007
Email: Ray.Schrock@weil.com
Kelly.DiBlasi a weil.com
Kevin.Bostel@weil.com
Alexander.Cohen.@ weil.com
Attorneys for Debtors
and Debtors in Possession
3