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The Liquidating Trust submits a second omnibus substantive objection addressing no-liability claims, reclassified claims, and reduced amount claims under Section 502 of the Bankruptcy Code, Rule 3007, and Local Rule 3007-1. The filing sets key deadlines and hearing date, asserts court jurisdiction and venue, and requests an order disallowing and expunging disputed claims listed in Exhibits 1-3.",{"@graph":63,"@context":118},[64,80,101],{"@type":65,"itemListElement":66},"BreadcrumbList",[67,71,74,77],{"item":68,"name":69,"@type":70,"position":9},"https://docshare.wps.com","Home","ListItem",{"item":72,"name":10,"@type":70,"position":73},"https://docshare.wps.com/template/",2,{"item":75,"name":41,"@type":70,"position":76},"https://docshare.wps.com/template/letters/",3,{"item":78,"name":59,"@type":70,"position":79},"https://docshare.wps.com/template/lumio-holdings-inc-second-omnibus-objection/304024/",4,{"url":78,"name":59,"@type":81,"image":82,"author":87,"headline":59,"publisher":90,"fileFormat":93,"inLanguage":57,"description":61,"dateModified":94,"datePublished":95,"encodingFormat":93,"isAccessibleForFree":96,"interactionStatistic":97},"DigitalDocument",{"url":83,"@type":84,"width":85,"height":86},"https://docshare.wps.com/thumbnails/lumio-holdings-inc-second-omnibus-objection/304024.png","ImageObject",442,249,{"name":88,"@type":89},"Clementine","Person",{"url":68,"name":91,"@type":92},"DocShare","Organization","application/pdf","2026-09-23","2026-09-19",true,{"@type":98,"interactionType":99,"userInteractionCount":73},"InteractionCounter",{"@type":100},"ViewAction",{"@type":102,"mainEntity":103},"FAQPage",[104,110,114],{"name":105,"@type":106,"acceptedAnswer":107},"What does the Second Omnibus Objection request the court to do?","Question",{"text":108,"@type":109},"It requests entry of an order substantially in the form of the proposed order disallowing and expunging the claims identified in Exhibits 1-3.","Answer",{"name":111,"@type":106,"acceptedAnswer":112},"Under what legal authorities is the objection made?",{"text":113,"@type":109},"It is brought pursuant to Section 502 of the Bankruptcy Code, Bankruptcy Rule 3007, and Local Rule 3007-1.",{"name":115,"@type":106,"acceptedAnswer":116},"What deadlines and hearing dates are stated for this objection?",{"text":117,"@type":109},"The response deadline is February 4, 2026 at 4:00 p.m. (ET), and the hearing date is March 3, 2026 at 1:00 p.m. (ET).","https://schema.org",{"og:url":78,"og:type":120,"og:title":59,"og:site_name":91,"og:description":61},"article",{"robots":122,"canonical":78},"index,follow",{"doc_id":124,"site_id":56},304024,1790199171,{"code":4,"msg":5,"data":127},{"doc_id":124,"user_id":128,"nickname":88,"user_avatar":129,"doc_module":9,"category_id":40,"category_name":41,"doc_title":59,"doc_description":61,"doc_content":130,"file_id":131,"file_url":132,"file_type":133,"file_size":134,"view_count":76,"is_deleted":4,"is_public":9,"is_downloadable":9,"audit_status":9,"page_count":135,"language":136,"language_code":57,"site_id":56,"html_lang":57,"table_of_contents":137,"faqs":138,"seo_title":139,"seo_description":61,"update_tm":140,"read_time":15},1374391974564,"https://ap-avatar.wpscdn.com/avatar/14000253aa45c000a9e?x-image-process=image/resize,m_fixed,w_180,h_180&k=1779874745381141002","Case 24-11916-JKS Doc 585 Filed 01/12/26 Page 1 of 11  \nIN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE  \nIn re:  \nLUMIO HOLDINGS, INC., et al., 1 Liquidating Debtors.  \nChapter 11  \nCase No. 24-11916 (JKS)  \n(Jointly Administered)  \nResponse Deadline:  \nFebruary 4, 2026, at 4:00 p.m. (ET)  \nHearing Date:  \nMarch 3, 2026, at 1:00 p.m. (ET)  \nSECOND OMNIBUS OBJECTION (SUBSTANTIVE) TO NO LIABILITY CLAIMS, RECLASSIFIED CLAIMS, AND REDUCED AMOUNT CLAIMS PURSUANT TO SECTION 502 OF THE BANKRUPTCY CODE, BANKRUPTCY RULE 3007, AND LOCAL RULE 3007-1  \nTO THE CLAIMANTS LISTED IN EXHIBITS 1, 2, & 3 ATTACHED TO THE PROPOSED ORDER:  \nYOUR RIGHTS MAY BE AFFECTED BY THIS OBJECTION AND BY FURTHER OBJECTION(S) THAT MAY BE FILED BY THE LIQUIDATING TRUST OR ANYOTHER PARTY.  \nTHE RELIEF SOUGHT HEREIN IS WITHOUT PREJUDICE TO THE RIGHTS OF THE LIQUIDATING TRUST OR ANY OTHER PARTY TO PURSUE FURTHER SUBSTANTIVE OR NON-SUBSTANTIVE OBJECTIONS AGAINST THE CLAIMS LISTED IN EXHIBITS 1, 2, & 3.  \nCLAIMANTS RECEIVING THIS OBJECTION SHOULD REVIEW EXHIBITS 1, 2, & 3 TO LOCATE THEIR NAMES AND DETERMINE IF AN OBJECTION TO THEIR CLAIM(S) IS INCLUDED HEREIN.  \n1 The Debtors in these Chapter 11 Cases, along with the last four digits of their U. S. federal tax identification number, are Lumio Holdings, Inc. (7119) and Lumio HX, Inc. (7401) . The Liquidating Trustee’s mailing address is VRS Restructuring Services, LLC, 377 Ocean Boulevard, Unit 5, Hampton, NH 03842.  \nCase 24-11916-JKS Doc 585 Filed 01/12/26 Page 2 of 11  \nThe Lumio Liquidating Trust (the “Liquidating Trust”) respectfully objects (the“Objection”) as follows:  \nRELIEF REQUESTED  \n1. For the reasons set forth more fully below, the Liquidating Trust respectfully requests entry of an order substantially in the form attached hereto as Exhibit A (the“Proposed Order”) disallowing and expunging the claims identified in Exhibits 1-3 thereto (the“Disputed Claims”) . In further support of this Objection, the Liquidating Trust submits the Declaration of Jeffrey T. Varsalone in Support of the Second Omnibus Objection (Substantive) to No Liability Claims, Reclassified Claims, and Reduced Amount Claims Pursuant to Section 502 of the Bankruptcy Code, Bankruptcy Rule 3007, and Local Rule 3007-1 (the “Varsalone Declaration”), attached hereto as Exhibit B and incorporated herein by reference.  \nJURISDICTION  \n2. The United States Bankruptcy Court for the District of Delaware (the“Court”) has jurisdiction over this matter pursuant to 28 U.S.C. §§ 157 and 1334 and the Amended Standing Order of Reference of the United States District Court for the District of Delaware, dated as of February 29, 2012.  \n3. This is a core proceeding pursuant to 28 U.S.C. § 157(b)(2), and the Liquidating Trust consents, pursuant to rule 9013-1(f) of the Local Rules of the United States Bankruptcy Court for the District of Delaware (the “Local Rules”), to the entry of a final order by this Court in connection with this Motion to the extent it is later determined that this Court, absent consent of the parties, cannot enter final orders or judgments in connection herewith consistent with Article III of the United States Constitution.  \n4. Venue is proper pursuant to 28 U.S.C. §§ 1407 and 1409.  \nCase 24-11916-JKS Doc 585 Filed 01/12/26 Page 3 of 11  \n5. The statutory basis for the relief requested herein is section 502 of title 11 of the United States Code (the “Bankruptcy Code”), as supplemented by Rule 3007 of the Federal Rules of Bankruptcy Procedure (the “Bankruptcy Rules”) and Local Rule 3007-1.  \nBACKGROUND  \n6. On September 4, 2024 (the “Petition Date”), Lumio Holdings, Inc. and Lumio HX, Inc. (collectively, the “Debtors”) commenced these cases (the “Chapter 11 Cases”) by filing voluntary petitions for relief under chapter 11 of the Bankruptcy Code. On February 3, 2025, the Court entered the Findings of Facts, Conclusions of Law, and Order Approving on a Final Basis and Confirming the Combined Disclosure Statement and C","cbCairY9HImD1VLY","https://ap.wps.com/l/cbCairY9HImD1VLY","pdf",1340379,34,"English","# Relief Requested\n# Jurisdiction\n# Background","[{\"question\":\"What does the Second Omnibus Objection request the court to do?\",\"answer\":\"It requests entry of an order substantially in the form of the proposed order disallowing and expunging the claims identified in Exhibits 1-3.\"},{\"question\":\"Under what legal authorities is the objection made?\",\"answer\":\"It is brought pursuant to Section 502 of the Bankruptcy Code, Bankruptcy Rule 3007, and Local Rule 3007-1.\"},{\"question\":\"What deadlines and hearing dates are stated for this objection?\",\"answer\":\"The response deadline is February 4, 2026 at 4:00 p.m. (ET), and the hearing date is March 3, 2026 at 1:00 p.m. (ET).\"}]","LUMIO HOLDINGS, INC. - Second Omnibus Objection | PDF",1789809093]