17-22770-rdd Doc 823 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 1 of 8 Main Document UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK In re: 21st CENTURY ONCOLOGY HOLDINGS, INC., et al.,1 Debtors. ) ) Chapter 11 ) ) Case No. 17-22770 (RDD) ) ) (Jointly Administered) ) ORDER (A) APPROVING THE SETTLEMENT AGREEMENT BETWEEN THE DEBTORS AND THE DATA BREACH PLAINTIFFS AND (B) GRANTING RELATED RELIEF Upon the motion (the “Motion”)2 of the above-captioned debtors and debtors in possession (collectively, the “Debtors”) for entry of an order (this “Approval Order”): (a) approving the Settlement Agreement, by and among the Debtors and the Data Breach Plaintiffs, a copy of which is attached hereto as Exhibit 1 (the “Settlement Agreement”), and (b) granting related relief, all as more fully set forth in the Motion; and the Court having found that it has jurisdiction over this matter pursuant to 28 U.S.C. §§ 157(a)-(b) and 1334(b) and the Amended Standing Order of Reference from the United States District Court for the Southern District of New York, dated January 31, 2012, and that it may enter a final order deciding the Motion consistent with Article III of the United States Constitution; and the Court having found that venue of the Motion in this district is proper pursuant to 28 U.S.C. §§ 1408 and 1409; and this Court having found that the Debtors’ notice of the Motion and opportunity for a hearing on the Motion (including but not limited to the notice provided to the Data Breach Claimants and 1 Each of the Debtors in the above-captioned jointly administered chapter 11 cases and their respective tax identification numbers are set forth in the Order Directing Joint Administration of Chapter 11 Cases [Docket No. 30]. The location of 21st Century Oncology Holdings Inc.’s corporate headquarters and the Debtors’ service address is: 2270 Colonial Boulevard, Fort Myers, Florida 33907. 2 Capitalized terms used but not otherwise defined herein have the meanings ascribed to them in the Settlement Agreement. 17-22770-rdd Doc 823 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 2 of 8 Main Document the Insurers) were appropriate under the circumstances, including to bind all such parties to the terms of the settlement approved hereunder who did not object to the Motion, and that no other notice need be provided; and there being no objections to the requested relief; and upon all of the proceedings had before this Court, including the record of the hearing held by the Court on the Motion on December 11, 2017 (the “Hearing”); and, after due deliberation, this Court having determined that the settlement set forth in the Settlement Agreement and hereunder is fair and reasonable and in the best interests o of the Debtors and their estates, and that the the legal and factual bases set forth in the Motion and at the Hearing establish just cause for the relief granted herein; now, therefore, it is HEREBY ORDERED THAT: 1. The Motion is granted as set forth herein. 2. Pursuant to Bankruptcy Rule 9019, the Debtors are authorized to enter into and perform under the Settlement Agreement and to execute and deliver all documents and take all actions necessary to fully implement the Settlement Agreement in accordance with the terms, conditions, agreements, and releases set forth or provided for therein, all of which are approved. 3. The Data Breach Proofs of Claim listed on Exhibit 2 are disallowed and expunged for purposes of any distributions of Estate Assets in the Chapter 11 Cases (whether pursuant to the Plan or otherwise), without prejudice to, and without impacting in any way, the rights of the Data Breach Claimants, individually and/or on behalf of any class, to (1) continue to prosecute the Data Breach Litigation against the Debtors, 21st Century California, and any other defendant (other than any person serving as an officer or director of any of the Debtors at any time prior to the effective date of the Plan) now or hereafter named in the Data Breach Litigation so long as such prosecution against any other defendant does not give rise to an Uncovered Claim, (2) commence, continue, prosecute, and/or defend, as applicable, any Coverage 2 17-22770-rdd Doc 823 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 3 of 8 Main Document Litigation, and/or (3) pursue and recover from any available coverage under any or all of the Insurance Policies on account of any settlement or judgment in the Data Breach Litigation, in each instance subject to and consistent in all respects with paragraphs 1, 2, and 3 of the Settlement Agreement. 4. The automatic stay under section 362(a) of the Bankruptcy Code is modified pursuant to section 362(d)(1) of the Bankruptcy Code solely to the extent necessary so that (1) the Data Breach Litigation, (2) any Coverage Litigation, and (3) any other efforts by the Data Breach Claimants, individually and/or on behalf of any class, to pursue and recover from any available coverage under any or all of the Insurance Policies on account of any settlement or judgment in the Data Breach Litigation may proceed consistent with the terms of the Settlement Agreement. 5. Other than available coverage under the Insurance Policies, the Data Breach Claimants will not seek or receive any distribution under the Plan, or any other chapter 11 plan, from any of the Debtors, the Reorganized Debtors, the Debtors’ estates, or their successors, or any Estate Assets. 6. All of the Debtors’ rights to pursue any and all Coverage Litigation and receive any benefits therefrom (including but not limited to proceeds of the Insurance Policies), and to seek and receive coverage under the Insurance Policies for the claims and causes of action now or hereafter asserted in the Data Breach Litigation, including but not limited to claims of bad faith against the Insurers, are hereby assigned to the Data Breach Plaintiffs as set forth in Section 2 of the Settlement Agreement, and such assignment is hereby approved; provided that to the extent such assignment is determined by an order of the Florida District Court, another court of competent jurisdiction, or an arbitrator or regulatory agency to (a) be invalid or unenforceable 3 17-22770-rdd Doc 823 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 4 of 8 Main Document for any reason or (b) adversely impact coverage under the Insurance Policies for the Data Breach Litigation, the Data Breach Plaintiffs or their designee are hereby granted derivative standing and authority, without further action by the Debtors, the Reorganized Debtors, or any Data Breach Claimants, and without further order of this Court, the Florida District Court, or any other court, to pursue such claims on behalf of the Debtors’ estates or any successors thereof, and any and all benefits therefrom shall be for the sole purpose of satisfying any and all claims asserted or to be asserted in the Data Breach Litigation. 7. Any recovery from the current defendants in the Data Breach Litigation will be solely and exclusively limited to available coverage under the Insurance Policies; provided that any recovery from the proceeds of the Beazley Policy shall not include any of the $2.5 million of proceeds available under the regulatory sublimit in the Beazley Policy (the “Regulatory Sublimit”); provided further that, notwithstanding the foregoing limitation, the Data Breach Claimants may recover from any coverage remaining under the Beazley Policy after all claims covered under the Regulatory Sublimit have been paid and/or settled. 8. The Data Breach Claimants shall not pursue any other actions or proceedings arising out of or relating to the facts alleged, or that could have been alleged, in the Complaint if such actions or proceedings would give rise to an Uncovered Claim. 9. The Data Breach Claimants waive any argument that the Debtors, the Reorganized Debtors, the Debtors’ estates, or their successors shall be required to pay or otherwise satisfy (a) any self-insured retention or deductible liability; (b) any obligation to post any security or deposit with any Insurer pursuant to the terms of the Insurance Policies; (c) any defense costs; (d) any portion of a judgment or settlement that exceeds the aggregate available coverage under the Insurance Policies; or (e) any other costs of any kind, including, without 4 17-22770-rdd Doc 823 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 5 of 8 Main Document limitation, any claims by any Insurer against the Debtors, the Reorganized Debtors, the Debtors’ estates, or their successors arising from the Data Breach Litigation; provided, however, that the Data Breach Claimants do not undertake, and shall not have, any obligation to (x) satisfy any self-insured retention or deductible liability or (y) pay any defense costs on behalf, or in the place, of the Debtors, the Reorganized Debtors, the Debtors’ estates, or their respective successors, and the Data Breach Claimants reserve all rights with respect to (including but not limited to the rights to contest and defend against) any such claim asserted by any Insurer or any other person or entity. 10. Upon this Order becoming a Final Order, the Data Breach Plaintiffs, if applicable, shall be deemed to have withdrawn their respective election forms opting out of the Third Party Release without further action. 11. All 3018 Movants shall vote to accept the Plan (and for voting purposes, shall be deemed to have a general unsecured claim in the amount of $1.00); or, alternatively, to the extent any 3018 Movant wishes to opt out of the Third Party Release, such 3018 Movant shall withdraw its respective 3018 Motion, shall not vote on the Plan, and shall submit its Election Form by the Voting Deadline. 12. The notice requirements under Bankruptcy Rule 6004(a) are hereby waived. 13. Notwithstanding Bankruptcy Rule 6004(h), the terms and conditions of this Approval Order are immediately effective and enforceable upon its entry, for cause. 14. The Debtors are authorized to take all actions necessary to effectuate the relief granted pursuant to this Approval Order in accordance with the Motion. 15. This Approval Order shall bind the Debtors, their estates and any successors or assigns, including without limitation any trustee, liquidating trustee or other estate representative. 5 17-22770-rdd 16. Doc 823 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 6 of 8 Main Document Nothing in this Approval Order, the Settlement Agreement, or any term, condition, or other provision hereof or thereof is intended to, shall, or may be construed to (a) diminish, impair, or otherwise adversely impact the enforceability of or coverage under the Insurance Policies with respect to the claims and causes of action asserted or to be asserted in the Data Breach Litigation or (b) otherwise alter any rights or obligations of the Insurers under the Insurance Policies, the coverage and benefits provided thereunder, or any of the terms, conditions, and other provisions thereof. 17. This Court retains exclusive jurisdiction with respect to all matters arising from or related to the implementation, interpretation, and enforcement of this Approval Order, including but not limited to the implementation, interpretation, and enforcement of the assignment and grant of derivative standing and authority set forth in this Approval Order and in the Settlement Agreement. Dated: December 11, 2017 White Plains, New York /s/Robert D. Drain THE HONORABLE ROBERT D. DRAIN UNITED STATES BANKRUPTCY JUDGE 6 17-22770-rdd Doc 823 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 7 of 8 EXHIBIT 1 Form of Settlement Agreement Main Document 17-22770-rdd Doc 823 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 8 of 8 Main Document EXHIBIT 2 List of Data Breach Proofs of Claim (Schedule 1 to Settlement Agreement) 8 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 1 of 57 Exhibit 1 UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK In re: 21st CENTURY ONCOLOGY HOLDINGS, INC., et al.,1 Debtors. ) ) Chapter 11 ) ) Case No. 17-22770 (RDD) ) ) (Jointly Administered) ) ORDER (A) APPROVING THE SETTLEMENT AGREEMENT BETWEEN THE DEBTORS AND THE DATA BREACH PLAINTIFFS AND (B) GRANTING RELATED RELIEF Upon the motion (the “Motion”)2 of the above-captioned debtors and debtors in possession (collectively, the “Debtors”) for entry of an order (this “Approval Order”): (a) approving the Settlement Agreement, by and among the Debtors and the Data Breach Plaintiffs, attached hereto as Exhibit 1 (the “Settlement Agreement”), and (b) granting related relief, all as more fully set forth in the Motion; and the Court having found that it has jurisdiction over this matter pursuant to 28 U.S.C. §§ 157 and 1334 and the Amended Standing Order of Reference from the United States District Court for the Southern District of New York, dated January 31, 2012; and this Court having found that it may enter a final order consistent with Article III of the United States Constitution; and the Court having found that venue of this proceeding and the Motion in this district is proper pursuant to 28 U.S.C. §§ 1408 and 1409; and this Court having found that the Debtors’ notice of the Motion and opportunity for a hearing on the Motion (including but not limited to the notice provided to the Data Breach Claimants and 1 Each of the Debtors in the above-captioned jointly administered chapter 11 cases and their respective tax identification numbers are set forth in the Order Directing Joint Administration of Chapter 11 Cases [Docket No. 30]. The location of 21st Century Oncology Holdings Inc.’s corporate headquarters and the Debtors’ service address is: 2270 Colonial Boulevard, Fort Myers, Florida 33907. 2 Capitalized terms used but not otherwise defined herein have the meanings ascribed to them in the Settlement Agreement. 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 2 of 57 Exhibit 1 the Insurers) were appropriate under the circumstances and no other notice need be provided; and this Court having reviewed the Motion and having heard the statements in support of the relief requested therein at a hearing, if any, before this Court (the “Hearing”); and this Court having determined that the legal and factual bases set forth in the Motion and at the Hearing establish just cause for the relief granted herein; and upon all of the proceedings had before this Court; and after due deliberation and sufficient cause appearing therefor, it is HEREBY ORDERED THAT: 1. The Motion is granted as set forth herein. 2. Pursuant to Bankruptcy Rule 9019, the Debtors are authorized to enter into and perform under the Settlement Agreement and to execute and deliver all documents and take all actions necessary to fully implement the Settlement Agreement in accordance with the terms, conditions, agreements, and releases set forth or provided for therein, all of which are approved. 3. The Data Breach Proofs of Claim listed on Exhibit 2 are disallowed and expunged for purposes of any distributions of Estate Assets in the Chapter 11 Cases (whether pursuant to the Plan or otherwise), without prejudice to, and without impacting in any way, the rights of the Data Breach Claimants, individually and/or on behalf of any class, to (1) continue to prosecute the Data Breach Litigation against the Debtors, 21st Century California, and any other defendant (other than any person serving as an officer or director of any of the Debtors at any time prior to the effective date of the Plan) now or hereafter named in the Data Breach Litigation so long as such prosecution against any other defendant does not give rise to an Uncovered Claim, (2) commence, continue, prosecute, and/or defend, as applicable, any Coverage Litigation, and/or (3) pursue and recover from any available coverage under any or all of the Insurance Policies on account of any settlement or judgment in the Data Breach Litigation, in 2 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 3 of 57 Exhibit 1 each instance subject to and consistent in all respects with paragraphs 1, 2, and 3 of the Settlement Agreement. 4. The automatic stay is modified solely to the extent necessary so that (1) the Data Breach Litigation, (2) any Coverage Litigation, and (3) any other efforts by the Data Breach Claimants, individually and/or on behalf of any class, to pursue and recover from any available coverage under any or all of the Insurance Policies on account of any settlement or judgment in the Data Breach Litigation may proceed consistent with the terms of the Settlement Agreement. 5. Other than available coverage under the Insurance Policies, the Data Breach Claimants will not seek or receive any distribution under the Plan, or any other chapter 11 plan, from any of the Debtors, the Reorganized Debtors, the Debtors’ estates, or their successors, or any Estate Assets. 6. All of the Debtors’ rights to pursue any and all Coverage Litigation and receive any benefits therefrom (including but not limited to proceeds of the Insurance Policies), and to seek and receive coverage under the Insurance Policies for the claims and causes of action now or hereafter asserted in the Data Breach Litigation, including but not limited to claims of bad faith against the Insurers, are hereby assigned to the Data Breach Plaintiffs as set forth in Section 2 of the Settlement Agreement, and such assignment is hereby approved, provided that to the extent such assignment is determined by an order of the Florida District Court, another court of competent jurisdiction, or an arbitrator or regulatory agency to (a) be invalid or unenforceable for any reason or (b) adversely impact coverage under the Insurance Policies for the Data Breach Litigation, the Data Breach Plaintiffs or their designee are hereby granted derivative standing and authority, without further action by the Debtors, the Reorganized Debtors, or any Data Breach Claimants, and without further order of this Court, the Florida District Court, or any other court, 3 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 4 of 57 Exhibit 1 to pursue such claims on behalf of the Debtors’ estates or any successors thereof, and any and all benefits therefrom shall be for the sole purpose of satisfying any and all claims asserted or to be asserted in the Data Breach Litigation. 7. Any recovery from the current defendants in the Data Breach Litigation will be solely and exclusively limited to available coverage under the Insurance Policies, provided that any recovery from the proceeds of the Beazley Policy shall not include any of the $2.5 million of proceeds available under the regulatory sublimit in the Beazley Policy (the “Regulatory Sublimit”), provided further that, notwithstanding the foregoing limitation, the Data Breach Claimants may recover from any coverage remaining under the Beazley Policy after all claims covered under the Regulatory Sublimit have been paid and/or settled. 8. The Data Breach Claimants shall not pursue any other actions or proceedings arising out of or relating to the facts alleged, or that could have been alleged, in the Complaint if such actions or proceedings would give rise to an Uncovered Claim. 9. The Data Breach Claimants waive any argument that the Debtors, the Reorganized Debtors, the Debtors’ estates, or their successors shall be required to pay or otherwise satisfy (a) any self-insured retention or deductible liability; (b) any obligation to post any security or deposit with any Insurer pursuant to the terms of the Insurance Policies; (c) any defense costs; (d) any portion of a judgment or settlement that exceeds the aggregate available coverage under the Insurance Policies; or (e) any other costs of any kind, including, without limitation, any claims by any Insurer against the Debtors, the Reorganized Debtors, the Debtors’ estates, or their successors arising from the Data Breach Litigation, provided, however, that the Data Breach Claimants do not undertake, and shall not have, any obligation to (x) satisfy any self-insured retention or deductible liability or (y) pay any defense costs on behalf, or in the 4 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 5 of 57 Exhibit 1 place, of the Debtors, the Reorganized Debtors, the Debtors’ estates, or their respective successors, and the Data Breach Claimants reserve all rights with respect to (including but not limited to the rights to contest and defend against) any such claim asserted by any Insurer or any other person or entity. 10. Upon this Order becoming a Final Order, the Data Breach Plaintiffs, if applicable, shall be deemed to have withdrawn their respective election forms opting out of the Third Party Release without further action. 11. All 3018 Movants shall vote to accept the Plan (and for voting purposes, shall be deemed to have a general unsecured claim in the amount of $1.00); or, alternatively, to the extent any 3018 Movant wishes to opt out of the Third Party Release, such 3018 Movant shall withdraw its respective 3018 Motion, shall not vote on the Plan, and shall submit its Election Form by the Voting Deadline. 12. The notice requirements under Bankruptcy Rule 6004(a) are hereby waived. 13. Notwithstanding Bankruptcy Rule 6004(h), the terms and conditions of this Approval Order are immediately effective and enforceable upon its entry. 14. The Debtors are authorized to take all actions necessary to effectuate the relief granted pursuant to this Approval Order in accordance with the Motion. 15. This Approval Order shall bind the Debtors, their estates and any successors or assigns, including without limitation any trustee, liquidating trustee or other estate representative. 16. Nothing in this Approval Order, the Settlement Agreement, or any term, condition, or other provision hereof or thereof is intended to, shall, or may be construed to (a) diminish, impair, or otherwise adversely impact the enforceability of or coverage under the Insurance Policies with respect to the claims and causes of action asserted or to be asserted in the 5 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 6 of 57 Exhibit 1 Data Breach Litigation or (b) otherwise alter any rights or obligations of the Insurers under the Insurance Policies, the coverage and benefits provided thereunder, or any of the terms, conditions, and other provisions thereof. 17. This Court retains exclusive jurisdiction with respect to all matters arising from or related to the implementation, interpretation, and enforcement of this Approval Order, including but not limited to the implementation, interpretation, and enforcement of the assignment and grant of derivative standing and authority set forth in this Approval Order and in the Settlement Agreement. White Plains, New York Dated: ____________, 2017 THE HONORABLE ROBERT D. DRAIN UNITED STATES BANKRUPTCY JUDGE 6 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 7 of 57 EXHIBIT 1 Form of Settlement Agreement Exhibit 1 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Exhibit 1 Pg 8 of 57 Execution Version SETTLEMENT AND LIMITED RELEASE AGREEMENT This SETTLEMENT AND LIMITED RELEASE AGREEMENT (the “Settlement Agreement”) is executed as of November 20, 2017 by and between the signatories hereto, including the debtors and the debtors in possession (collectively, the “Debtors”)1 in the jointly administered chapter 11 cases captioned In Re: 21st Century Oncology Holdings, Inc., et al., No. 17-22770 (RDD) (Bankr. S.D.N.Y.) (Jointly Administered) (the “Chapter 11 Cases”) and the named plaintiffs in the putative class action styled as In Re: 21st Century Oncology Customer Data Breach Litigation, Case No. 8:16-md-2737-MSS-AEP (M.D. Fla.) (the “Data Breach Litigation”), pending in the United States District Court for the Middle District of Florida (the “Florida District Court”): Matthew Benzion, Steven Brehio, Judith Cabrera, Valerie Corbel on behalf of the estate of James Corbel, Veneta Delucchi, Jackie Griffith, Roxanne Haatvedt, Kathleen LaBarge, Sharon MacDermid, Timothy Meulenberg, Robert Russell, Carl Schmitt, Stacey Schwartz, and Stephen Wilbur (collectively, “the Data Breach Plaintiffs”) (together with the Debtors, the “Parties”; and individually, a “Party”). RECITALS WHEREAS, on January 17, 2017 the Data Breach Plaintiffs filed their Consolidated Class Action Complaint (the “Complaint”) [MDL Docket No. 100] in the Data Breach Litigation, against Debtor 21st Century Oncology Investments, LLC and non-Debtor 21st Century Oncology of California, a Medical Corporation, asserting claims and causes of action related to the Security Incident (as defined herein); and WHEREAS, on May 25, 2017, the Debtors filed voluntary petitions for relief under chapter 11 of title 11 of the United States Code (the “Bankruptcy Code”) in the United States Bankruptcy Court for the Southern District of New York (the “Bankruptcy Court”), thereby commencing the Chapter 11 Cases and automatically staying the Data Breach Litigation; and WHEREAS, in the Chapter 11 Cases, various proofs of claim related to the Security Incident were filed, listed on Schedule 1 attached hereto (the “Data Breach Proofs of Claim”)2; and WHEREAS, on September 12, 2017, the Debtors filed their Motion to Disallow Class Proofs of Claim and Estimate the Customer Data Security Breach Litigation Claims at Zero Dollars [Docket No. 414] (the “Motion”); and WHEREAS, on October 9, 2017, the Data Breach Plaintiffs filed their Cross-Motion for Entry of an Order (A) Applying Bankruptcy Rule 7023 to the Class Claims or, in the Alternative, (B) Granting Relief from the Automatic Stay to Permit the Data Breach Litigation to Proceed 1 Each of the Debtors in the above-captioned jointly administered chapter 11 cases and their respective tax identification numbers are set forth in the Order Directing Joint Administration of Chapter 11 Cases [Docket No. 30]. The location of 21st Century Oncology Holdings, Inc.’s corporate headquarters and the Debtors’ service address is: 2270 Colonial Boulevard, Fort Myers, Florida 33907. For the avoidance of doubt, the proofs of claim included in Schedule 1 include the six purported “class” proofs of claims filed by the Data Breach Plaintiffs. 2 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 9 of 57 Exhibit 1 with Recovery Limited to Available Insurance, dated October 9, 2017 [Docket No. 503] (the “Cross-Motion”) and their Memorandum of Law (I) in Opposition to Debtors’ Motion to Disallow and/or Estimate Data Breach Claims and (II) in Support of Cross-Motion for Entry of an Order (A) Applying Bankruptcy Rule 7023 to the Class Claims or, in the Alternative, (B) Granting Relief from the Automatic Stay to Permit the Data Breach Litigation to Proceed with Recovery Limited to Available Insurance [Docket No. 501] (the “Objection”), dated October 9, 2017 ; and WHEREAS, on November 2, 2017, various Data Breach Claimants (as defined herein) filed motions seeking temporary allowance of the claims asserted in their individual Data Breach Proofs of Claim for purposes of voting on the Plan pursuant to Bankruptcy Rule 3018 [Docket Nos. 603, 605, 606, 616, 618, 621, 622, 623, 624, 625, and 627] (the “3018 Motions”); and WHEREAS, the Data Breach Plaintiffs and the Debtors have agreed to resolve the Data Breach Proofs of Claim, the Motion, the Cross-Motion, and the 3018 Motions on the terms and conditions set forth in this Settlement Agreement; and NOW, THEREFORE, in consideration of the foregoing premises, and the mutual promises and covenants hereinafter, and other valuable consideration, the sufficiency of which is acknowledged by the Parties, the Parties, intending to be legally bound, agree as follows: DEFINITIONS 1. “21st Century California” means 21st Century Oncology of California, a Medical Corporation. 2. “3018 Movants” means the Data Breach Claimants who filed the 3018 Motions. 3. “Bar Date Order” means the order entered by the Bankruptcy Court on July 24, 2017 that, among other things, established a bar date for filing proofs of claim against the Debtors [Docket No. 253]. 4. “Claim” means a claim, as defined in section 101(5) of the Bankruptcy Code, against any of the Debtors, the Debtors’ estates or successors, or any Estate Assets. 5. “Confirmation Order” means a Final Order of the Bankruptcy Court confirming the Plan pursuant to section 1129 of the Bankruptcy Code, which order shall be in form and substance consistent in all material respects with the Restructuring Support Agreement (as defined in the Plan) and this Settlement Agreement and otherwise reasonably acceptable to the Requisite Parties (as defined in the Plan). 6. “Coverage Litigation” means all litigation, actions, and proceedings related to insurance coverage under the Insurance Policies for the claims and causes of action asserted in the Data Breach Litigation, including but not limited to the action styled as The Charter Oak Fire Insurance Company v. 21st Century Oncology Investments, LLC, et al., Case No. 2:16-cv-00732-UA-MRM (M.D. Fla.). 2 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 10 of 57 Exhibit 1 7. “Data Breach Claimant” means any person who filed one of the Data Breach Proofs of Claim. 8. “Disclosure Statement Order” has the meaning ascribed to such term in the Plan. 9. “Estate Assets” means the assets of the Debtors, their estates, and their successors, but excludes, for the avoidance of any doubt, any proceeds of the Insurance Policies. 10. “Final Order” has the meaning ascribed to such term in the Plan. 11. “Insurance Policies” means the following insurance policies: (a) Beazley Breach Response, Policy No. W140E2150301 (the “Beazley Policy”); (b) Travelers Commercial Insurance, Policy Nos. P-660-515D1067-COF-15 and P660-515D1067-COF-16 (the “Travelers CGL Policies”); and (c) Travelers Commercial Excess Liability (Umbrella) Insurance Policy, Policy No. PSM-CUP-515D1067-TIL-15 (the “Travelers CEL Policy”) and any other excess, surplus, and/or umbrella policies related to the Travelers CGL Policies and/or the Beazley Policy. 12. “Insurer” means the issuer of any of the Insurance Policies. 13. “Plan” means the Joint Chapter 11 Plan of Reorganization of 21st Century Oncology Holdings, Inc. and its Debtor Affiliates [Docket No. 554, Ex A], dated October 17, 2017, as may be amended, supplemented or otherwise modified from time to time in a manner consistent with this Settlement Agreement. 14. “Security Incident” means the incident upon which the claims and causes of action asserted in the Complaint are based, a data breach that occurred in October 2015 involving a database that contained the personal information of some of the Debtors’ patients. 15. “Settlement Effective Date” means the first date on which all of the conditions to effectiveness of this Settlement Agreement, as set forth in Section 1 infra, have been satisfied. 16. “Third Party Release” means the release set forth in Section 8.3 of the Plan. 17. “Uncovered Claim” means any Claim that would not be (a) barred by an order of the Bankruptcy Court, including but not limited to the Approval Order, the Bar Date Order, and/or the Confirmation Order, or (b) fully satisfied by the Insurance Policies. 3 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 11 of 57 Exhibit 1 AGREEMENT NOW, THEREFORE, in consideration of the representations, acknowledgements promises, recitals, mutual covenants, terms and conditions contained herein, and for good and valuable consideration, the receipt and sufficiency of which are hereby acknowledged, the Parties agree as follows: 1. Conditions to Effectiveness. (a) Notwithstanding anything to the contrary herein, the Parties acknowledge and agree that the effectiveness of this Settlement Agreement is expressly conditioned upon an order of the Bankruptcy Court approving the Settlement Agreement pursuant to Federal Rule of Bankruptcy Procedure (“Rule”) 9019 (the “Approval Order”) being entered and becoming a Final Order. The Approval Order shall be in form and substance reasonably acceptable to the Parties and, in addition to approving this Settlement Agreement and the Parties’ performance hereunder, shall provide that: (i) the Data Breach Proofs of Claim are disallowed and expunged for purposes of any distributions of Estate Assets in the Chapter 11 Cases (whether pursuant to the Plan or otherwise), without prejudice to, and without impacting in any way, the rights of the Data Breach Claimants, individually and/or on behalf of any class, to (1) continue to prosecute the Data Breach Litigation against the Debtors, 21st Century California, and any other defendant (other than any person serving as an officer or director of any of the Debtors at any time prior to the effective date of the Plan) now or hereafter named in the Data Breach Litigation so long as such prosecution against any other defendant does not give rise to an Uncovered Claim, (2) commence, continue, prosecute, and/or defend, as applicable, any Coverage Litigation, and/or (3) pursue and recover from any available coverage under any or all of the Insurance Policies on account of any settlement or judgment in the Data Breach Litigation, in each instance subject to and consistent in all respects with paragraphs 1, 2, and 3 of this Settlement Agreement; (ii) the automatic stay shall be modified solely to the extent necessary so that (1) the Data Breach Litigation, (2) any Coverage Litigation, and (3) any other efforts by the Data Breach Claimants, individually and/or on behalf of any class, to pursue and recover from any available coverage under any or all of the Insurance Policies on account of any settlement or judgment in the Data Breach Litigation may proceed consistent with the terms of this Settlement Agreement; (iii) other than available coverage under the Insurance Policies, the Data Breach Claimants will not seek or receive any distribution under the Plan, 4 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 12 of 57 Exhibit 1 or any other chapter 11 plan, from any of the Debtors, the Reorganized Debtors, the Debtors’ estates, or their successors, or any Estate Assets; (iv) the right to pursue Coverage Litigation and receive any benefits therefrom (including but not limited to proceeds of the Insurance Policies) is assigned to the Data Breach Plaintiffs as set forth in Section 2 infra, provided that to the extent such assignment is determined by an order of the Florida District Court, another court of competent jurisdiction, or an arbitrator or regulatory agency to (1) be invalid or unenforceable for any reason or (2) adversely impact coverage under the Insurance Policies for the Data Breach Litigation, the Data Breach Plaintiffs or their designee are granted derivative standing and authority, without further action by the Debtors, the Reorganized Debtors, or any Data Breach Claimants, and without further order of the Bankruptcy Court, the Florida District Court, or any other court, to pursue such claims on behalf of the Debtors’ estates or any successors thereof, and any and all benefits therefrom shall be for the sole purpose of satisfying any and all claims asserted or to be asserted in the Data Breach Litigation; (v) any recovery from the current defendants in the Data Breach Litigation will be solely and exclusively limited to available coverage under the Insurance Policies, provided that any recovery from the proceeds of the Beazley Policy shall not include any of the $2.5 million of proceeds available under the regulatory sublimit in the Beazley Policy (the “Regulatory Sublimit”), provided further that, notwithstanding the foregoing limitation, the Data Breach Claimants may recover from any coverage remaining under the Beazley Policy after all claims covered under the Regulatory Sublimit have been paid and/or settled; (vi) the Data Breach Claimants shall not pursue any other actions or proceedings arising out of or relating to the facts alleged, or that could have been alleged, in the Complaint if such actions or proceedings would give rise to an Uncovered Claim; (vii) the Data Breach Claimants waive any argument that the Debtors, the Reorganized Debtors, the Debtors’ estates, or their successors shall be required to pay or otherwise satisfy (a) any self-insured retention or deductible liability; (b) any obligation to post any security or deposit with any Insurer pursuant to the terms of the Insurance Policies; (c) any defense costs; (d) any portion of a judgment or settlement that exceeds the aggregate available coverage under the Insurance Policies; or (e) any other costs of any kind, including, without limitation, any claims by any Insurer against the Debtors, the Reorganized Debtors, the Debtors’ estates, or their successors arising from the Data Breach Litigation, provided, however, that the Data Breach Claimants do not undertake, and shall not have, any obligation to (x) satisfy any self-insured retention or deductible liability or 5 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 13 of 57 Exhibit 1 (y) pay any defense costs on behalf, or in the place, of the Debtors, the Reorganized Debtors, the Debtors’ estates, or their respective successors, and the Data Breach Claimants reserve all rights with respect to (including but not limited to the rights to contest and defend against) any such claim asserted by any Insurer or any other person or entity. 2. (b) Concurrent with the execution of this Settlement Agreement by the Parties, Debtors’ counsel shall prepare and file all papers necessary to obtain entry of the Approval Order, including a motion for the same (the “Approval Motion”). The Approval Motion will be heard following the Voting Deadline (as defined in the Disclosure Statement Order) and may be heard in connection with, but is not contingent upon, confirmation of the Plan. The Debtors and the Data Breach Plaintiffs will endeavor to resolve in good faith any objections to the Approval Motion. (c) Upon the Approval Order becoming a Final Order, the Data Breach Plaintiffs, if applicable, shall be deemed to have withdrawn their respective election forms opting out of the Third Party Release and will use best efforts to encourage and assist all other Data Breach Claimants to do so, including communicating directly with the Data Breach Claimants’ counsel. (d) It shall be a condition precedent to the effectiveness of this Settlement Agreement that either: (i) each 3018 Movant shall vote to accept the Plan;3 or (ii) alternatively, to the extent any 3018 Movant wishes to maintain the ability to opt out of the Third Party Release, such 3018 Movant shall withdraw its respective 3018 Motion, shall not vote on the Plan, and shall submit its Election Form by the Voting Deadline. Assignment of Rights to Seek and Receive Insurance Coverage. (a) The Debtors hereby, to the fullest extent permitted by applicable law, assign to the Data Breach Plaintiffs, for themselves and for the benefit of any class, all of the Debtors’ rights to pursue any and all Coverage Litigation and seek and receive coverage under the Insurance Policies for the claims and causes of action now or hereafter asserted in the Data Breach Litigation, including but not limited to claims of bad faith against the Insurers. Consistent with paragraph 1(a)(iv), the Approval Order will provide that, to the extent such assignment is determined by an order of the Florida District Court, another court of competent jurisdiction, or an arbitrator or regulatory agency to (1) be invalid or unenforceable for any reason or (2) adversely impact coverage under the Insurance Policies for the Data 3 In the event a 3018 Movant wishes to vote to accept the Plan, the Debtors shall stipulate to such 3018 Movant having a general unsecured claim allowed for voting purposes in the amount of $1.00. 6 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 14 of 57 Exhibit 1 Breach Litigation, the Data Breach Plaintiffs or their designee are granted derivative standing and authority, without further action by the Debtors, the Reorganized Debtors, or any Data Breach Claimants, and without further order of the Bankruptcy Court, the Florida District Court, or any other court, to pursue Coverage Litigation on behalf of the Debtors’ estates or any successors thereof, and any and all benefits therefrom shall be for the sole purpose of satisfying any and all claims asserted or to be asserted in the Data Breach Litigation. (b) The Debtors will provide the Data Breach Plaintiffs with commercially reasonable access to any documents, information (including electronically stored information), and other evidence potentially relevant to any coverage-related claims against the Insurers and will not knowingly or intentionally, after the good faith exercise of reasonable diligence and inquiry, take any action to compromise or interfere with, or knowingly or intentionally, after the good faith exercise of reasonable diligence and inquiry, fail to take any action if such failure would knowingly or intentionally, after the good faith exercise of reasonable diligence and inquiry, jeopardize, compromise, or interfere with, any such coverage or the Data Breach Plaintiffs’ efforts to pursue or secure such coverage, without the prior written consent of the Data Breach Plaintiffs, provided however, that consistent with paragraph 1(a)(vii) supra, the Data Breach Claimants waive any argument that the Debtors, the Reorganized Debtors, the Debtors’ estates, or their successors shall be required to pay or otherwise satisfy (a) any self-insured retention or deductible liability; (b) any obligation to post any security or deposit with any Insurer pursuant to the terms of the Insurance Policies; (c) any defense costs; (d) any portion of a judgment or settlement that exceeds the aggregate available coverage under the Insurance Policies; or (e) any other costs of any kind, including, without limitation, any claims by any Insurer against the Debtors, the Reorganized Debtors, the Debtors’ estates, or their successors arising from the Data Breach Litigation. (c) For the avoidance of doubt, and notwithstanding the assignment and grant of derivative standing referenced in paragraph 2(a) supra and in the Approval Order, the Data Breach Plaintiffs do not undertake any affirmative obligation to pursue coverage under the Insurance Policies for the claims and causes of action asserted in the Data Breach Litigation. 3. Amendment of Complaint. The Data Breach Plaintiffs may amend the Complaint from time to time as necessary to supplement the factual allegations set forth therein, to add claims related to the Data Breach Litigation and/or to add additional defendants (other than any person serving as an officer or director of any of the Debtors at any time prior to the effective date of the Plan), provided that no such amendment shall give rise to any Uncovered Claim. 4. Form of Confirmation Order. The Confirmation Order shall in all respects be consistent with this Settlement Agreement and shall provide that, upon the Approval Order becoming a Final Order, the Data Breach Litigation may continue against 21st 7 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 15 of 57 Exhibit 1 Century California notwithstanding the Third Party Release, with any recovery from 21st Century California limited as set forth in paragraph 1(a)(v) of this Settlement Agreement. For the avoidance of doubt, the Data Breach Plaintiffs shall otherwise be deemed to be Releasing Parties under the Plan. The Confirmation Order shall also provide for the preservation by the Debtors, the Reorganized Debtors, the Debtors’ estates or their successors, while the Data Breach Litigation is pending, of any documents, information (including electronically stored information) and other evidence that such parties reasonably determine are potentially relevant to the Data Breach Litigation. 5. Mutual Limited Release; Covenant Not to Sue. (a) Effective upon the occurrence of the Settlement Effective Date, in consideration of the covenants undertaken in this Settlement Agreement, the Debtors, on the one hand, and the Data Breach Plaintiffs, on the other hand, each on behalf of themselves and (i) each of their respective current and former, direct and indirect, parent companies, subsidiaries, and affiliates; (ii) the respective assigns, predecessors, successors, and related entities of the entities in (i); and (iii) all current and former employees, agents, directors, officers, managers, members, stockholders, partners, limited partners, equity holders, professionals, staff, principals, owners, and other representatives of the Parties and of the individuals and entities in clauses (i) and (ii) (collectively, (i) through (iii) are the “Related Parties”), for good and valuable consideration, receipt and sufficiency of which is hereby acknowledged, and having been represented by counsel and having been fully and adequately informed as to the facts, circumstances and consequences of this Settlement Agreement, each hereby irrevocably and unconditionally release, acquit, and forever discharge the other, and all of the other’s respective Related Parties, contractors, and attorneys (all of which and whom are collectively referred to as “Releasees”), with respect to and from, any and all claims, demands, charges, additional costs, rights, liens, agreements, contracts, covenants, actions, suits, causes of action, arbitration, tax assessments, obligations, debts, costs, expenses, attorneys’ fees, damages, judgments, sums of money, accounts, reckonings, bonds, bills, specialties, covenants, controversies, indemnities, variances, trespasses, damages, compensation, fines, penalties, losses, orders and liabilities, of whatever kind or nature in law, equity or otherwise, whether now known or unknown, compulsory or permissive, sounding in tort, contract, statutory or regulatory violation or otherwise, suspected or unsuspected, discovered or undiscovered, foreseen or unforeseen, vested or contingent, accrued or unaccrued, liquidated or unliquidated, asserted or unasserted, matured or unmatured, direct or indirect, derivative or subrogated, individual, class, representative, or other capacity, that the Parties and their respective Related Parties now own or hold, or have at any time heretofore owned or held, or may in the future hold against said Releasees, or any of them, arising out of or in any way relating to the Security Incident, the Data Breach Litigation, the Data Breach Proofs of Claim, and the Settlement Agreement, provided, however, that the foregoing release is made without prejudice to, and shall not impact in any way, the rights of the Data Breach Claimants, individually and/or on behalf of any 8 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 16 of 57 Exhibit 1 class, to (i) continue to prosecute the Data Breach Litigation against the Debtors, 21st Century California, and any other defendant (other than any person serving as an officer or director of any of the Debtors at any time prior to the effective date of the Plan) now or hereafter named in the Data Breach Litigation so long as such prosecution against any other defendant does not give rise to an Uncovered Claim, (ii) commence, continue, prosecute, and/or defend, as applicable, any Coverage Litigation, and/or (iii) pursue and recover from any available coverage under any or all of the Insurance Policies on account of any settlement or judgment in the Data Breach Litigation, in each instance subject to and consistent in all respects with paragraphs 1, 2, and 3 of this Settlement Agreement, provided further that the foregoing release does not, shall not, and is not intended to release any claims, causes of action, or other rights of any Party arising out of or related to any breach of, or to enforce the terms of, this Settlement Agreement; (b) 6. Effective upon the occurrence of the Settlement Effective Date, each of the Parties, on behalf of itself and its respective Related Parties, covenants and agrees not to pursue or prosecute any suit, claim, action, or proceeding seeking recovery against or from any one or more of the Releasees arising out of or relating to any one or more of the claims released hereunder, provided, however, that the foregoing covenant is made without prejudice to, and shall not impact in any way, the rights of the Data Breach Claimants, individually and/or on behalf of any class, to (i) continue to prosecute the Data Breach Litigation against the Debtors, 21st Century California, and any other defendant (other than any person serving as an officer or director of any of the Debtors at any time prior to the effective date of the Plan) now or hereafter named in the Data Breach Litigation so long as such prosecution against any other defendant does not give rise to an Uncovered Claim, (ii) commence, continue, prosecute, and/or defend, as applicable, any Coverage Litigation, and/or (iii) pursue and recover from any available coverage under any or all of the Insurance Policies on account of any settlement or judgment in the Data Breach Litigation, in each instance subject to and consistent in all respects with paragraphs 1, 2, and 3 of this Settlement Agreement, provided further that the foregoing covenant does not, shall not, and is not intended to preclude any Party from asserting or prosecuting any claim or cause of action arising out of or related to any breach of, or to enforce the terms of, this Settlement Agreement. Representations and Warranties. (a) Each of the Parties acknowledges, agrees, represents and warrants that: (i) It has not heretofore assigned or transferred, or purported to assign or transfer, to any person or entity any claim or cause of action released pursuant to paragraph 5 above; 9 17-22770-rdd (b) Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 17 of 57 Exhibit 1 (ii) There are no liens or claims of lien, or assignments in law or equity or otherwise, of or against any claim or cause of action released pursuant to paragraphs 5 above; (iii) It has duly executed and delivered this Settlement Agreement and is fully authorized to enter into and perform this Settlement Agreement and every term hereof and has the authority to bind the entity on whose behalf it has executed the Settlement Agreement; (iv) It has been represented by legal counsel in the negotiation and joint preparation of this Settlement Agreement, has received advice from legal counsel in connection with this Settlement Agreement and is fully aware of this Settlement Agreement’s provisions and legal effect; and (v) It enters into this Settlement Agreement freely, without coercion, and based on its own judgment and not in reliance upon any representations or promises made by the other Parties, apart from those set forth in this Settlement Agreement. The Debtors represent and warrant to the Data Breach Plaintiffs that, as of November 19, 2017: (i) there is approximately $4,226,257.48 of coverage presently remaining under the Beazley Policy, and approximately $2,376,753.26 of coverage presently specifically remaining under the Regulatory Sublimit; and (ii) the following claims, and no other claims, are presently outstanding against the Insurance Policies: INSURANCE POLICY Beazley Policy (Regulatory Sublimit) AMOUNT Potential regulatory and/or government settlement— amount to be determined Beazley Policy $123,246.74 (Regulatory Sublimit) Beazley $650,495.78 Travelers CGL Policies $11,184.00 Travelers CEL Policy $353.00 (c) Each of the Parties acknowledges the materiality of the foregoing representations and warranties. 10 17-22770-rdd 7. Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 18 of 57 Exhibit 1 Waiver of California Civil Code Section 1542 and Analogous Statutes. This Settlement Agreement is the result of a compromise and shall not be deemed an admission of the truth or correctness of the claims or contentions of any Party to this Settlement Agreement against any other Party. It is understood by the Parties that there is a risk that subsequent to the execution of this Settlement Agreement the claims of any Party with respect to the subject matter hereof may be discovered to be greater or less than any Party now expects or anticipates. Each Party assumes this risk and the releases contained herein shall apply to all unknown, undiscovered, or unanticipated results, as well as those known, discovered and anticipated. The Parties expressly waive and relinquish all rights and benefits afforded by Section 1542 of the California Civil Code and analogous statutes, and any law of any state or territory of the United States, or principle of common law, or the law of any foreign jurisdiction, that is similar, comparable or equivalent to Section 1542 of the California Civil Code with respect to all claims and other rights released in paragraph 5 of this Settlement Agreement, and do so understanding and acknowledging the significance and consequence of such specific waiver of Section 1542. Section 1542 of the California Civil Code states as follows: “A GENERAL RELEASE DOES NOT EXTEND TO CLAIMS WHICH THE CREDITOR DOES NOT KNOW OR SUSPECT TO EXIST IN HIS OR HER FAVOR AT THE TIME OF EXECUTING THE RELEASE, WHICH IF KNOWN BY HIM OR HER MUST HAVE MATERIALLY AFFECTED HIS OR HER SETTLEMENT WITH THE DEBTOR.” Each Party has read and understands the provisions of California Civil Code Section 1542 and acknowledges and agrees that, although it may hereafter discover facts other than or different from those that it knows or believes to be true with respect to the claims released pursuant to the provisions of this Settlement Agreement, it hereby expressly waives the benefits of California Civil Code Section 1542 and analogous statutes, and any law of any state or territory of the United States, or principle of common law, or the law of any foreign jurisdiction, that is similar, comparable or equivalent to Section 1542 of the California Civil Code, and fully, finally and forever settles and releases any known or unknown, suspected or unsuspected, asserted or unasserted, contingent or noncontingent claims related to those claims and other rights released in paragraph 5 of this Settlement Agreement, without regard to the subsequent discovery or existence of such different or additional facts. 8. Florida Law and Construction of Agreement. This Settlement Agreement shall be governed by and construed and enforced in accordance with the laws of the State of Florida. Any ambiguity in or dispute regarding the interpretation of this Settlement Agreement shall not be resolved by any rule of interpretation providing for interpretation against the Party that causes the uncertainty to exist or against the drafting Party. 9. Jurisdiction. The Parties (a) consent to the exclusive jurisdiction of the Bankruptcy Court over the approval, implementation, interpretation, and enforcement of this 11 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 19 of 57 Exhibit 1 Settlement Agreement and (b) acknowledge and agree that the Florida District Court retains exclusive jurisdiction over all aspects of the Data Breach Litigation and, upon entry of the Approval Order, any pending Coverage Litigation. 10. No Admission or Acknowledgement. Each of the Parties understands, acknowledges, and agrees that this Settlement Agreement constitutes a compromise and settlement of certain disputed claims arising from or relating to the Security Incident, the Data Breach Litigation, and the Data Breach Proofs of Claim, and that this Settlement Agreement shall not constitute an admission of or stipulation to any fact or liability by any of them regarding any claim or cause of action, including but not limited to the claims and causes of action released hereunder, and neither the terms hereof, nor the fact of this Settlement Agreement itself, shall be evidence of any kind in any proceeding other than a proceeding to enforce the terms of this Settlement Agreement or any instrument executed in furtherance hereof or any claim for damages or other relief for breach of any representation or warranty contained herein or in any instrument executed in connection herewith. No action taken by the Parties, or any of them, either previously or in connection with this Settlement Agreement, shall be deemed to be or construed to be (i) an admission of the truth or falsity of any of the claims made and/or raised in connection with such disputed claims or of any question of law or fact; or (ii) an acknowledgment or admission by any Party of any fault, wrongdoing or liability whatsoever. 11. Entire Agreement; Amendment; Waiver. This Settlement Agreement constitutes the entire agreement between the Data Breach Plaintiffs and the Debtors with respect to the matters agreed herein. The Data Breach Plaintiffs and the Debtors have executed this Settlement Agreement voluntarily, after having obtained the advice of legal counsel, and with a full and free understanding of its terms, which may not be changed except by a writing signed by all of the Parties. 12. Binding Effect. This document, in all of its particulars, is binding on and for the benefit of all Parties and their respective agents, employees, officer, directors, successors, affiliates, subsidiaries, assigns and representatives. 13. Severability. If any provision of this Settlement Agreement is declared illegal or unenforceable by a Final Order of a court of competent jurisdiction or an arbitrator or regulatory agency, such provision shall be deemed severable to the extent necessary to eliminate the illegality or unenforceability thereof, and all other terms and provisions shall remain valid and binding on the Parties and their respective agents, employees, officer, directors, successors, affiliates, subsidiaries, assigns and representatives. 14. Agreement Costs and Expenses. Each Party will pay its own legal and other costs and expenses incident to this Settlement Agreement. 15. Counterpart Execution and Use of Photocopies. This Settlement Agreement may be executed by signature of each of the Parties hereto, or their authorized representatives, on multiple copies of this Settlement Agreement, including copies transmitted by facsimile 12 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 20 of 57 Exhibit 1 machine or electronically, and upon being so executed by all Parties hereto, shall be effective as if all signatures appeared on a single original of this Settlement Agreement. 16. Additional Documents and Acts. Each of the Parties agrees to execute or cause its counsel to execute any additional documents and take any further action that may reasonably be required to consummate this Settlement Agreement, or otherwise fulfill the obligations of the Parties hereunder. The Parties shall bear their own costs and attorneys’ fees incurred in connection with any such additional action. 17. Recitals, Acknowledgement & Consent to Terms. The Parties acknowledge that the recitals contained in this Settlement Agreement are true and correct to the best of their knowledge, and are made a part of this Settlement Agreement and incorporated by reference. The Parties acknowledge that they have read this Settlement Agreement, understand the promises, recitals, mutual covenants, representations, terms and conditions contained herein, and voluntarily consent thereto. 18. Headings. Section headings in this Settlement Agreement are included for convenience of reference only and shall not constitute a part of this Settlement Agreement for any other purpose. [ signature pages follows ] 13 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Exhibit 1 Pg 21 of 57 IN WITNESS WHEREOF, the Parties hereto, intending to be legally bound hereby, have executed this Settlement Agreement. By: By: Aug I Name: Matthew Benzion Name: Paul Rundell Interim Chief Executive Of?cer let Century Oncology Holdings, Inc. y: Name: Judith Cabrera By: Name: Steven Brehio By: Name: Valerie Corbel on behalf of the estate of James Corbel I4 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Exhibit 1 Pg 22 of 57 IN WITNESS WHEREOF, the Parties hereto, intending to be legally bound hereby, have executed this Settlement Agreement. ghee Ml Name: Matthew Benzion Name: Paul Rundell Interim Chief Executive Of?cer let Century Oncology Holdings, Inc. By: Name: Judith Cabrera By: Name: Steven Brehio By: Name: Valerie Corbel on behalf of the estate of James Corbel l4 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Exhibit 1 Pg 23 of 57 IN WITNESS WHEREOF, the Parties hereto, intending to be legally bound hereby, have executed this Settlement Agreement. By: By: Name: Matthew Benzion Name: Paul Rundell Interim Chief Executive Of?cer let Century Oncology Holdings, Inc. By: (lg/Wk Name: Judy Cabrera By: Name: Steven Brehio By: Name: Valerie Corbel on behalf of the estate of James Corbel l4 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Exhibit 1 Pg 24 of 57 IN WITNESS WHEREOF, the Parties hereto, intending to be legally bound hereby, have executed this Settlement Agreement. By: By: Name: Matthew Benzion Name: Paul Rundell Interim Chief Executive Of?cer let Century Oncology Holdings, Inc. y: Name: Judith Cabrera By: X?u?m (06/ Name: Steven Brehio By: Name: Valerie Corbel on behalf of the estate of James Corbel l4 11322321311? 13:48 ESEI--223-EET4 FEIDEH EIFFICE 5-1195 E12 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered .12/11/17 16:16:53 Exhibitl . Pg 25_0f5?7 IN WITNESS WHEREDF, the Parties hereto, inteni?ing 1:0 be [Egally bound heraby, have 'tl'ns Settlement AgreemantNamn: Matthew Banziun . Name: PaulRundeIl Int?rim Chiaf-Exacutiva Officer By? [2131:- Century Oncolqu Haldings, Inc. Name: Judith Cabrera By: Hams: Steven 'Brehio By: I 09% Name: Valeria Curbel on bnhalfof the estata of James Corbel 144 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/1716:16:53 Exhibit Wm? Name: Veneta Delucchi By: Name: Jackie Grif?th By: Name: Roxanne Haatved BY: Name: Kathleen LaBarge 15 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Exhibit 1 Pg 27 of 57 By: Name: Veneta Delucchi By: e: Jackie Grif?th Ely: Name: Roxanne Haatved BY: Name: Kathleen LaBarge 15 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 28 of 57 By: Name: Veneta Delucchi By: Name: Jackie Griffith By: Name: Roxanne Haatved BY: Name: Kathleen LaBarge By: 15 Exhibit 1 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Exhibit 1 Pg 29 of 57 Name: Veneta Delucehi Name: Jackie Grif?th By: Name: Roxanne Haatved BY: I 0 Name: Kathleen LaBarge By: 15 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Exhibit 1 Pg 30 of 57 Name: Sharon MacDaermid Name: Timothy Menlenberg By: Name: Robert Russell By: Name: Carl Schmitt By: '39? 00:00 Hoa'm'uer 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Exhibit 1 Pg 31 of 57 Name: Sharon MacDaermid Name: Timot Meulenberg By: Name: Robert Russell By: Name: Carl Schmitt By: 16 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Exhibit 1 Pg 32 of 57 Name: Sharon MacDacrmid Name: Timothy Mculenberg By: 5212M Name: Robcn Russell By: Name: Carl Schmitt 16 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Exhibit 1 Pg 33 of 57 Name: Sharon MacDacrmid By: Name: Timothy Meulenberg By: Name: Robert Russcil Name: Carl Schmitt 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Exhibit 1 Pg 34 of 57 Name: Sharon MacDaermid By: Name: Timothy Meulenberg By: Name: Robert Russell By: Name: Carl Schmitt By. (jg/Lg/V/ 16 17-22770-rdd DOC 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Exhibit 1 Pg 35 of 57 Name: Stacey Schwanz By: Name: Stephen Wilbur ~21~ (7 l7 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Exhibit 1 Pg 36 of 57 Approved as to form: Date: November 20, 201?? 221;; Elm Christop 161' Marcus, R5. John T. Weber KIRKLAND ELLIS LLP KIRKLAND ELLIS INTERNATIONAL LLP 601 Lexington Avenue New York, New York 10022 Telephone: (212) 446-4800 Facsimile: (212) 446-4900 -and- James I-I.M. Sprayregen, P.C. William A. Guerrieti (admitted pro hoe vice) Alexandra Schwamman (admitted pro hac vice) KIRKLAND 81. ELLIS LLP KIRKLAND ELLIS INTERNATIONAL LLP 300 North LaSalle Street Chicago, Illinois 60654 Telephone: (312) 862-2000 Facsimile: {312) 862-2200 - and - Mark McKanc (admitted pro hoe vice) Michael Esser (admitted pro hac vice) KIRKLAND ELLIS LLP KIRKLAND ELLIS INTERNATIONAL LLP 555 Califomia St, 27th Floor San Francisco, California 94104 Telephone: {415) 439-1400 Facsimile: {415) 439-1500 Counsel to the Debtors and Demon; in Possession Date: November 20, 2017 SANDLER LLP Michael S. Etkin, Esq. Andrew Behlmann, Esq. Nicole Fulfree, Esq. One Lowenstein Drive Roseland, New Jersey 07068 Telephone: (973) 597-2500 Facsimile: (973) 597-2333 Bankruptcy Counse! to Plainn'?fs 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 38 of 57 Schedule 1 Exhibit 1 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 Pg 39 of 57 Exhibit 1 EXHIBIT 2 List of Data Breach Proofs of Claim (Schedule 1 to Settlement Agreement) 8 17-22770-rdd Doc 823-1 Line 1 2 Claim Number 1550 1551 3 4 5 6 7 8 9 10 1552 1556 1559 1562 1595 1596 1600 1602 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Adam Canute Adam Canute Adam Canute Adam Canute Adelaine Steinhaus Adelaine Steinhaus Adelaine Steinhaus Adelaine Steinhaus 11 12 13 14 1604 1605 1542 1545 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Adelaine Steinhaus Adelaine Steinhaus Al Corricelli Al Corricelli 15 16 17 18 19 20 21 22 23 24 25 1549 1557 1567 1571 737 1525 1526 1527 1528 1529 1530 09/01/2017 09/01/2017 09/01/2017 09/01/2017 08/21/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Al Corricelli Al Corricelli Al Corricelli Al Corricelli Alina A. Leonard Anita Amodeo Anita Amodeo Anita Amodeo Anita Amodeo Anita Amodeo Anita Amodeo 26 27 28 29 1610 1612 1614 1615 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Anne Marie Hermann Anne Marie Hermann Anne Marie Hermann Anne Marie Hermann 30 31 32 1618 1620 1446 09/01/2017 Anne Marie Hermann 09/01/2017 Anne Marie Hermann 09/01/2017 Anthony Cunningham 33 34 35 36 37 38 39 40 41 42 43 1450 1451 1453 1456 1668 1625 1629 1631 1633 1638 1639 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Anthony Cunningham Anthony Cunningham Anthony Cunningham Anthony Cunningham Anthony Cunningham Audrey Levine Audrey Levine Audrey Levine Audrey Levine Audrey Levine Audrey Levine 44 45 46 47 48 49 50 796 1574 1578 1581 1592 1593 1594 08/25/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Barbara Tyler Berdenna Thompson Berdenna Thompson Berdenna Thompson Berdenna Thompson Berdenna Thompson Berdenna Thompson 51 1297 09/01/2017 Bessie Brunson 52 53 54 55 56 57 58 59 60 61 62 1299 1301 1303 1304 1306 1259 1260 1261 1262 1263 1264 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Date Filed Name of Claimant 09/01/2017 Adam Canute 09/01/2017 Adam Canute Bessie Brunson Bessie Brunson Bessie Brunson Bessie Brunson Bessie Brunson Beverly Halpern Beverly Halpern Beverly Halpern Beverly Halpern Beverly Halpern Beverly Halpern In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 40 of157 Exhibit 1 Amount Asserted Priority Debtor Name Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC $2,500.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. BLANK General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Page 1 of 18 Debtor Number 17-22773 17-22775 17-22839 17-22785 17-22770 17-22774 17-22773 17-22839 17-22770 17-22775 17-22785 17-22774 17-22770 17-22775 17-22839 17-22785 17-22773 17-22774 17-22770 17-22774 17-22770 17-22773 17-22839 17-22785 17-22775 17-22774 17-22770 17-22773 17-22775 17-22839 17-22785 17-22775 17-22770 17-22773 17-22774 17-22785 17-22839 17-22770 17-22773 17-22774 17-22839 17-22785 17-22775 17-22770 17-22770 17-22839 17-22773 17-22774 17-22785 17-22775 17-22775 17-22785 17-22774 17-22839 17-22773 17-22770 17-22770 17-22773 17-22774 17-22839 17-22785 17-22775 17-22770-rdd Line 63 64 65 66 Claim Number 1591 1597 1606 1611 Date Filed 09/01/2017 09/01/2017 09/01/2017 09/01/2017 67 68 69 70 71 72 1617 1622 1257 1266 1267 1268 73 74 75 76 77 78 79 Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 41 of157 Name of Claimant Beverly Rosswog Beverly Rosswog Beverly Rosswog Beverly Rosswog Amount Asserted Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Priority General Unsecured General Unsecured General Unsecured General Unsecured 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Beverly Rosswog Beverly Rosswog Bradley Bernius Bradley Bernius Bradley Bernius Bradley Bernius Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 1269 1273 1645 1647 1651 1655 1658 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Bradley Bernius Bradley Bernius Brandon Tyler Davis Brandon Tyler Davis Brandon Tyler Davis Brandon Tyler Davis Brandon Tyler Davis Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 80 81 82 83 1662 774 1598 1601 09/01/2017 08/24/2017 09/01/2017 09/01/2017 Brandon Tyler Davis Brenda Smith Carl Schmitt Carl Schmitt Not less than $1,000.00 $5,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured 84 85 86 87 88 89 90 91 1603 1607 1609 1613 1695 1678 1683 1685 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Carl Schmitt Carl Schmitt Carl Schmitt Carl Schmitt Carlos G Salamanca Carlos Salamanca Carlos Salamanca Carlos Salamanca Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 92 93 94 1689 1691 1768 09/01/2017 Carlos Salamanca 09/01/2017 Carlos Salamanca 09/01/2017 Carol Joyce Not less than $1,000.00 General Unsecured Not less than $1,000.00 General Unsecured Not less than $1,000.00 General Unsecured 95 96 97 98 99 100 101 102 103 104 105 1776 1779 1784 1785 2288 1757 1747 1749 1752 1761 1764 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 106 107 108 1337 1338 1340 09/01/2017 Carrie Robinson 09/01/2017 Carrie Robinson 09/01/2017 Carrie Robinson Not less than $1,000.00 General Unsecured Not less than $1,000.00 General Unsecured Not less than $1,000.00 General Unsecured 109 110 111 112 113 114 115 1342 1351 1355 1803 1807 1810 1814 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Carrie Robinson Carrie Robinson Carrie Robinson Caryn Bendetowies Caryn Bendetowies Caryn Bendetowies Caryn Bendetowies Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 116 117 118 119 120 121 1818 1822 1859 1886 1897 1898 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Caryn Bendetowies Caryn Bendetowies Catalina Boehm Catalina Boehm Catalina Boehm Catalina Boehm Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 122 123 124 1908 1921 1670 09/01/2017 Catalina Boehm 09/01/2017 Catalina Boehm 09/01/2017 Cathy Klassen Carol Joyce Carol Joyce Carol Joyce Carol Joyce Carol Joyce Carolyn Leclerc Carolyn Leclerc Carolyn Leclerc Carolyn Leclerc Carolyn Leclerc Carolyn Leclerc In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured Not less than $1,000.00 General Unsecured Not less than $1,000.00 General Unsecured Not less than $1,000.00 General Unsecured Page 2 of 18 Exhibit 1 Debtor Name 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology Services, LLC 21st Century Oncology, LLC 21st Century Oncology Investments, LLC 21st Century Oncology Services, LLC 21st Century Oncology, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology, LLC 21st Century Oncology Services, LLC 21st Century Oncology Investments, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology Services, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology, LLC 21st Century Oncology Investments, LLC 21st Century Oncology, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology, Inc. 21st Century Oncology, LLC 21st Century Oncology Services, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology, LLC 21st Century Oncology Services, LLC 21st Century Oncology, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology Services, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology, Inc. 21st Century Oncology, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology Services, LLC 21st Century Oncology Investments, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology Services, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology, LLC 21st Century Oncology Services, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology, Inc. 21st Century Oncology Services, LLC Debtor Number 17-22773 17-22839 17-22770 17-22775 17-22785 17-22774 17-22839 17-22785 17-22774 17-22775 17-22770 17-22773 17-22770 17-22774 17-22785 17-22839 17-22775 17-22773 17-22770 17-22785 17-22775 17-22774 17-22839 17-22773 17-22770 17-22773 17-22774 17-22785 17-22775 17-22770 17-22839 17-22775 17-22770 17-22773 17-22839 17-22774 17-22785 17-22774 17-22770 17-22773 17-22839 17-22785 17-22775 17-22773 17-22774 17-22775 17-22785 17-22839 17-22770 17-22773 17-22839 17-22774 17-22775 17-22770 17-22785 17-22770 17-22774 17-22785 17-22775 17-22839 17-22773 17-22785 17-22770-rdd Doc 823-1 Line 125 Claim Number 1672 126 127 128 129 130 131 132 133 134 135 136 137 1675 1677 1680 1682 397 1821 1903 1922 1958 1966 1975 1981 09/01/2017 09/01/2017 09/01/2017 09/01/2017 08/08/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 138 139 1812 1813 09/01/2017 Charlie Rivera 09/01/2017 Charlie Rivera 140 141 142 143 144 145 146 147 1815 1817 1819 1787 1791 1796 1805 1823 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Charlie Rivera Charlie Rivera Charlie Rivera Charlotte Busby Charlotte Busby Charlotte Busby Charlotte Busby Charlotte Busby 148 149 150 151 1827 1713 1714 1716 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Charlotte Busby Cheryl Key Cheryl Key Cheryl Key 152 153 154 155 1717 1718 1719 1358 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Cheryl Key Cheryl Key Cheryl Key Cheryl Krystofulski 156 157 158 159 160 161 162 163 1376 1378 1381 1385 1386 1390 1391 1397 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Cheryl Krystofulski Cheryl Krystofulski Cheryl Krystofulski Cheryl Krystofulski Cheryl Krystofulski Christine Frakl Christine Frakl Christine Frakl 164 165 166 167 168 169 170 171 172 1398 1400 1401 1363 1365 1366 1368 2262 2265 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Christine Frakl Christine Frakl Christine Frakl Christine Jussaume Christine Jussaume Christine Jussaume Christine Jussaume Christine Jussaume Christine Jussaume 173 174 175 1484 1485 1488 09/01/2017 Christopher Wagner 09/01/2017 Christopher Wagner 09/01/2017 Christopher Wagner 176 177 178 179 180 181 1489 1490 1493 833 1684 1686 09/01/2017 09/01/2017 09/01/2017 08/29/2017 09/01/2017 09/01/2017 Christopher Wagner Christopher Wagner Christopher Wagner Cyndi Morton Babecki Dale Guernsey Dale Guernsey 182 183 184 185 186 1688 1690 1693 2216 1636 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Dale Guernsey Dale Guernsey Dale Guernsey Dale Guernsey Dana Rivera Date Filed Name of Claimant 09/01/2017 Cathy Klassen Cathy Klassen Cathy Klassen Cathy Klassen Cathy Klassen Charles L Bowman Charles Rivera Charles Thomas Bowers Charles Thomas Bowers Charles Thomas Bowers Charles Thomas Bowers Charles Thomas Bowers Charles Thomas Bowers In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 42 of157 Exhibit 1 Amount Asserted Priority Debtor Name Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. BLANK General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. BLANK General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Page 3 of 18 Debtor Number 17-22775 17-22774 17-22839 17-22773 17-22770 17-22770 17-22785 17-22770 17-22773 17-22774 17-22785 17-22839 17-22775 17-22773 17-22775 17-22770 17-22839 17-22774 17-22770 17-22774 17-22785 17-22839 17-22775 17-22773 17-22785 17-22774 17-22775 17-22770 17-22839 17-22773 17-22775 17-22773 17-22774 17-22785 17-22839 17-22770 17-22774 17-22773 17-22775 17-22785 17-22839 17-22770 17-22773 17-22770 17-22839 17-22774 17-22785 17-22775 17-22839 17-22785 17-22775 17-22774 17-22773 17-22770 17-22770 17-22773 17-22775 17-22785 17-22839 17-22774 17-22770 17-22774 17-22770-rdd Doc 823-1 Line 187 188 189 Claim Number 1641 1642 1646 190 191 192 193 1648 1649 1862 1864 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Dana Rivera Dana Rivera Daniel J. Hamel Daniel J. Hamel 194 195 196 197 198 199 200 201 1865 1866 1867 1868 1773 1775 1778 1781 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Daniel J. Hamel Daniel J. Hamel Daniel J. Hamel Daniel J. Hamel Darlene Reilly Darlene Reilly Darlene Reilly Darlene Reilly 202 203 204 205 206 207 1783 1786 2487 1751 1753 1756 09/01/2017 09/01/2017 09/11/2017 09/01/2017 09/01/2017 09/01/2017 Darlene Reilly Darlene Reilly David P Birtwell Dawn Powers Dawn Powers Dawn Powers 208 209 210 211 212 213 1759 2107 2108 1619 1621 1623 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Dawn Powers Dawn Powers Dawn Powers Debbie Peterson Debbie Peterson Debbie Peterson 214 215 216 217 218 219 220 221 222 1626 1630 1634 1283 1286 1288 1291 1293 1295 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Debbie Peterson Debbie Peterson Debbie Peterson Deborah Gray Deborah Gray Deborah Gray Deborah Gray Deborah Gray Deborah Gray 223 224 225 226 1931 1937 1941 1944 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Deborah Wagner Deborah Wagner Deborah Wagner Deborah Wagner 227 228 229 230 1945 1972 1841 1843 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Deborah Wagner Deborah Wagner Delores Stubbs Delores Stubbs 231 232 233 234 235 236 237 1845 1846 1849 1850 1985 1991 2004 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Delores Stubbs Delores Stubbs Delores Stubbs Delores Stubbs Delores Weiss Delores Weiss Delores Weiss 238 239 240 241 242 243 2010 2017 2021 1799 1800 1802 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Delores Weiss Delores Weiss Delores Weiss Denise DeJoy Denise DeJoy Denise DeJoy 244 245 246 247 248 1804 1806 1808 1721 1722 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Denise DeJoy Denise DeJoy Denise DeJoy Diane Jameson Diane Jameson Date Filed Name of Claimant 09/01/2017 Dana Rivera 09/01/2017 Dana Rivera 09/01/2017 Dana Rivera In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 43 of157 Exhibit 1 Amount Asserted Priority Debtor Name Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC UNLIQUIDATED General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Page 4 of 18 Debtor Number 17-22773 17-22770 17-22775 17-22839 17-22785 17-22773 17-22775 17-22785 17-22774 17-22839 17-22770 17-22773 17-22839 17-22770 17-22775 17-22774 17-22785 17-22770 17-22773 17-22774 17-22775 17-22839 17-22785 17-22770 17-22774 17-22785 17-22775 17-22770 17-22839 17-22773 17-22774 17-22839 17-22773 17-22770 17-22785 17-22775 17-22839 17-22774 17-22785 17-22775 17-22770 17-22773 17-22785 17-22775 17-22770 17-22839 17-22773 17-22774 17-22774 17-22785 17-22775 17-22770 17-22839 17-22773 17-22770 17-22774 17-22775 17-22773 17-22785 17-22839 17-22773 17-22774 17-22770-rdd Doc 823-1 Line 249 250 Claim Number 1723 1726 251 252 253 254 255 256 257 1728 1729 1324 1327 1329 1330 1332 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Diane Jameson Diane Jameson Dolores Bernardo Dolores Bernardo Dolores Bernardo Dolores Bernardo Dolores Bernardo 258 259 260 261 262 1334 1348 1349 1352 1354 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Dolores Bernardo Dolores Gibson Dolores Gibson Dolores Gibson Dolores Gibson 263 264 265 266 267 1356 1360 1697 1698 1699 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Dolores Gibson Dolores Gibson Dorothy A. Ivory Dorothy A. Ivory Dorothy A. Ivory 268 269 270 271 272 273 1700 1701 1703 1404 1405 1407 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Dorothy A. Ivory Dorothy A. Ivory Dorothy A. Ivory Edward W. Stengel Edward W. Stengel Edward W. Stengel 274 275 276 277 278 279 280 281 282 1410 1411 1412 1995 1997 1998 2002 2005 2006 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Edward W. Stengel Edward W. Stengel Edward W. Stengel Elaine Lavallee Elaine Lavallee Elaine Lavallee Elaine Lavallee Elaine Lavallee Elaine Lavallee 283 284 285 286 287 1825 1826 1830 1833 1836 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Elizabeth Mettetal Elizabeth Mettetal Elizabeth Mettetal Elizabeth Mettetal Elizabeth Mettetal 288 289 290 291 292 293 1839 1899 1900 1902 1904 1907 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Elizabeth Mettetal Ellen Anderson Ellen Anderson Ellen Anderson Ellen Anderson Ellen Anderson 294 295 296 297 298 1909 725 2446 2444 2434 09/01/2017 08/21/2017 09/05/2017 09/05/2017 09/05/2017 Ellen Anderson Erika McGee Estate of Daniel Padilla Estate of Daniel Padilla Estate of Daniel Padilla 299 300 301 302 303 304 2437 2441 2442 2335 2011 2013 09/05/2017 09/05/2017 09/05/2017 09/05/2017 09/01/2017 09/01/2017 Estate of Daniel Padilla Estate of Daniel Padilla Estate of Daniel Padilla Estate Of David H. Barbee Frank Baburchak Frank Baburchak 305 306 307 308 309 2015 2018 2019 2022 1309 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Frank Baburchak Frank Baburchak Frank Baburchak Frank Baburchak Frank Brudi Date Filed Name of Claimant 09/01/2017 Diane Jameson 09/01/2017 Diane Jameson In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 44 of157 Exhibit 1 Amount Asserted Priority Debtor Name Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. BLANK General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC UNLIQUIDATED General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Page 5 of 18 Debtor Number 17-22770 17-22775 17-22785 17-22839 17-22774 17-22839 17-22773 17-22770 17-22775 17-22785 17-22770 17-22773 17-22774 17-22775 17-22785 17-22839 17-22773 17-22839 17-22775 17-22785 17-22774 17-22770 17-22839 17-22785 17-22775 17-22774 17-22773 17-22770 17-22770 17-22773 17-22839 17-22774 17-22785 17-22775 17-22774 17-22773 17-22839 17-22770 17-22775 17-22785 17-22770 17-22774 17-22785 17-22839 17-22775 17-22773 17-22774 17-22785 17-22773 17-22775 17-22770 17-22774 17-22839 17-22770 17-22773 17-22775 17-22839 17-22785 17-22774 17-22770 17-22775 17-22770-rdd Line 310 311 312 313 314 315 316 317 318 Claim Number 1310 1311 1313 1319 1322 1870 1871 1872 1874 Date Filed 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 319 320 321 322 323 1876 1879 1265 1280 1281 324 325 326 327 Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 45 of157 Name of Claimant Frank Brudi Frank Brudi Frank Brudi Frank Brudi Frank Brudi Frank Levine Frank Levine Frank Levine Frank Levine Amount Asserted Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Priority General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Frank Levine Frank Levine Gail Glick Gail Glick Gail Glick Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 1289 1302 1284 1315 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Gail Glick Gail Glick Gail Glick Gayle Birken-Sikora Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured 328 329 330 331 332 333 334 335 336 1316 1317 1318 1320 1321 1205 1208 2032 2036 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Gayle Birken-Sikora Gayle Birken-Sikora Gayle Birken-Sikora Gayle Birken-Sikora Gayle Birken-Sikora George A. Delgado George A. Delgado George A. Delgado George A. Delgado Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 337 338 339 340 2042 2045 1893 1895 09/01/2017 09/01/2017 09/01/2017 09/01/2017 George A. Delgado George A. Delgado Georgia Ovedorf Georgia Overdorf Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured 341 342 343 344 345 346 347 1896 2055 2056 2057 1415 1417 1418 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Georgia Overdorf Georgia Overdorf Georgia Overdorf Georgia Overdorf Gerald Frank Gerald Frank Gerald Frank Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 348 349 350 351 352 353 354 1420 1421 1422 1141 1140 1048 1101 09/01/2017 09/01/2017 09/01/2017 08/31/2017 08/31/2017 08/31/2017 08/31/2017 Gerald Frank Gerald Frank Gerald Frank Grayson C. Sifrar Grayson C. Sifrar Grayson C. Sifrar Grayson C. Sifrar Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 355 356 357 358 359 360 361 362 1134 1041 1640 1652 1660 1667 1674 1679 08/31/2017 08/31/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Grayson C. Sifrar Grayson C. Sifrar Greg And Kathy Boston Greg And Kathy Boston Greg And Kathy Boston Greg And Kathy Boston Greg And Kathy Boston Greg And Kathy Boston Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 363 364 365 366 2221 2222 2224 2227 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Greg Peterson Greg Peterson Greg Peterson Greg Peterson Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured 367 368 369 370 371 372 2228 2230 1424 1425 1426 1435 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Greg Peterson Greg Peterson Helen Rogaski Helen Rogaski Helen Rogaski Helen Rogaski Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) Page 6 of 18 Exhibit 1 Debtor Name 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology, LLC 21st Century Oncology Services, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology Services, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology, Inc. 21st Century Oncology, LLC 21st Century Oncology Investments, LLC 21st Century Oncology Services, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology, Inc. 21st Century Oncology, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology Services, LLC 21st Century Oncology, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology, Inc. 21st Century Oncology Services, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology Services, LLC 21st Century Oncology, LLC 21st Century Oncology Investments, LLC 21st Century Oncology Services, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology, LLC 21st Century Oncology, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology, Inc. 21st Century Oncology, LLC 21st Century Oncology Services, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology, LLC 21st Century Oncology Services, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology Services, LLC 21st Century Oncology, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology Services, LLC Debtor Number 17-22773 17-22839 17-22774 17-22785 17-22770 17-22770 17-22839 17-22785 17-22775 17-22773 17-22774 17-22839 17-22785 17-22775 17-22770 17-22773 17-22774 17-22775 17-22785 17-22774 17-22770 17-22839 17-22773 17-22770 17-22773 17-22785 17-22775 17-22839 17-22774 17-22770 17-22775 17-22773 17-22839 17-22785 17-22774 17-22839 17-22785 17-22775 17-22774 17-22773 17-22770 17-22773 17-22774 17-22785 17-22775 17-22770 17-22839 17-22770 17-22773 17-22839 17-22774 17-22785 17-22775 17-22773 17-22839 17-22770 17-22775 17-22785 17-22774 17-22770 17-22773 17-22839 17-22785 17-22770-rdd Doc 823-1 Line 373 Claim Number 1436 374 375 376 377 378 2342 1946 1948 1949 1951 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 379 380 381 1952 1953 2196 09/01/2017 Helene Phillips 09/01/2017 Helene Phillips 09/01/2017 Herbert Halpern 382 383 384 385 386 387 388 389 390 2197 2199 2202 2203 2205 2152 2154 2155 2158 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Herbert Halpern Herbert Halpern Herbert Halpern Herbert Halpern Herbert Halpern Icenta Buchanon Icenta Buchanon Icenta Buchanon Icenta Buchanon 391 392 393 394 395 396 397 398 2160 2162 2023 2030 2050 2070 2091 2114 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Icenta Buchanon Icenta Buchanon Irene Goodman Irene Goodman Irene Goodman Irene Goodman Irene Goodman Irene Goodman 399 400 401 402 403 1052 1039 1043 1060 1133 08/31/2017 08/31/2017 08/31/2017 08/31/2017 08/31/2017 Jackie Griffith Jackie Griffith Jackie Griffith Jackie Griffith Jackie Griffith 404 405 406 1138 1811 1816 08/31/2017 Jackie Griffith 09/01/2017 Jacqueline Spratt 09/01/2017 Jacqueline Spratt 407 408 409 410 411 1828 1834 1840 1848 2016 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Jacqueline Spratt Jacqueline Spratt Jacqueline Spratt Jacqueline Spratt James Buchanon 412 413 414 415 416 417 418 419 420 421 2024 2026 2041 2051 2062 1889 1911 1917 1924 1928 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 James Buchanon James Buchanon James Buchanon James Buchanon James Buchanon James Buglion James Buglion James Buglion James Buglion James Buglion 422 423 424 425 426 427 428 1935 2147 2148 2149 2208 2209 2214 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 James Buglion James Steven James Steven James Steven James Steven James Steven James Steven 429 430 431 432 2089 2090 2092 2093 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Jane Chismar Jane Chismar Jane Chismar Jane Chismar 433 2095 09/01/2017 Jane Chismar Date Filed Name of Claimant 09/01/2017 Helen Rogaski Helen Rogaski Helene Phillips Helene Phillips Helene Phillips Helene Phillips In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 46 of157 Exhibit 1 Amount Asserted Priority Debtor Name Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Page 7 of 18 Debtor Number 17-22775 17-22774 17-22773 17-22839 17-22770 17-22775 17-22774 17-22785 17-22775 17-22785 17-22774 17-22839 17-22773 17-22770 17-22773 17-22770 17-22774 17-22775 17-22785 17-22839 17-22773 17-22770 17-22774 17-22785 17-22839 17-22775 17-22774 17-22773 17-22785 17-22839 17-22775 17-22770 17-22773 17-22775 17-22785 17-22770 17-22774 17-22839 17-22775 17-22785 17-22770 17-22773 17-22774 17-22839 17-22774 17-22770 17-22785 17-22839 17-22775 17-22773 17-22773 17-22839 17-22785 17-22774 17-22770 17-22775 17-22770 17-22773 17-22774 17-22775 17-22785 17-22770-rdd Doc 823-1 Line 434 435 Claim Number 2097 2061 436 437 438 439 440 441 442 2067 2068 2072 2073 2076 2183 2186 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Jaqueline J. Zeh Jaqueline J. Zeh Jaqueline J. Zeh Jaqueline J. Zeh Jaqueline J. Zeh Jeff Hardt Jeff Hardt 443 444 445 446 447 2188 2190 2192 2289 1968 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Jeff Hardt Jeff Hardt Jeff Hardt Jeff Hardt Jeffrey Lewin 448 449 450 451 452 453 454 455 456 2025 2028 2031 2033 2035 1930 1932 1934 1936 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Jeffrey Lewin Jeffrey Lewin Jeffrey Lewin Jeffrey Lewin Jeffrey Lewin Jeremy Miller Jeremy Miller Jeremy Miller Jeremy Miller 457 458 459 460 461 462 463 464 1939 1943 1706 1707 1708 1709 1710 1711 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Jeremy Miller Jeremy Miller Jerome D. Mack Jerome D. Mack Jerome D. Mack Jerome D. Mack Jerome D. Mack Jerome D. Mack 465 466 467 1912 1915 1918 09/01/2017 Jesse Manfredonia 09/01/2017 Jesse Manfredonia 09/01/2017 Jesse Manfredonia 468 469 470 471 472 473 474 475 476 1919 1923 1926 1980 1982 1986 1988 1992 2000 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 477 1258 09/01/2017 Joanne Joy 478 479 480 481 482 483 484 485 486 1333 1336 1339 1344 1347 2166 2171 2182 2187 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Joanne Joy Joanne Joy Joanne Joy Joanne Joy Joanne Joy Joanne M. Mulvaney Joanne M. Mulvaney Joanne M. Mulvaney Joanne M. Mulvaney 487 488 489 490 491 492 2193 2200 2047 2054 2060 2066 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Joanne M. Mulvaney Joanne M. Mulvaney John Chismar John Chismar John Chismar John Chismar 493 494 2074 2081 09/01/2017 John Chismar 09/01/2017 John Chismar Date Filed Name of Claimant 09/01/2017 Jane Chismar 09/01/2017 Jaqueline J. Zeh Jesse Manfredonia Jesse Manfredonia Jesse Manfredonia Joan Moskal Joan Moskal Joan Moskal Joan Moskal Joan Moskal Joan Moskal In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 47 of157 Exhibit 1 Amount Asserted Priority Debtor Name Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Page 8 of 18 Debtor Number 17-22839 17-22775 17-22785 17-22774 17-22839 17-22770 17-22773 17-22773 17-22775 17-22785 17-22774 17-22770 17-22839 17-22775 17-22785 17-22839 17-22774 17-22773 17-22770 17-22773 17-22839 17-22770 17-22775 17-22785 17-22774 17-22774 17-22770 17-22785 17-22839 17-22773 17-22775 17-22774 17-22839 17-22775 17-22785 17-22770 17-22773 17-22839 17-22773 17-22770 17-22785 17-22774 17-22775 17-22775 17-22785 17-22774 17-22839 17-22773 17-22770 17-22773 17-22839 17-22770 17-22775 17-22785 17-22774 17-22773 17-22770 17-22774 17-22775 17-22785 17-22839 17-22770-rdd Doc 823-1 Line 495 Claim Number 2170 496 497 498 499 500 501 502 503 504 2173 2176 2177 2180 2181 2079 2083 2084 2086 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 John Gallager John Gallager John Gallager John Gallager John Gallager Jon Lokietz Jon Lokietz Jon Lokietz Jon Lokietz 505 506 507 508 509 510 511 512 2088 2269 2264 2266 2267 2268 2271 2341 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Jon Lokietz Jon Lokietz Joseph Boehm Joseph Boehm Joseph Boehm Joseph Boehm Joseph Boehm Joseph Boehm 513 514 515 1396 1399 1402 09/01/2017 Joseph Hermann 09/01/2017 Joseph Hermann 09/01/2017 Joseph Hermann 516 517 518 519 520 521 522 523 1403 1406 1408 500 2098 2099 2101 2103 09/01/2017 09/01/2017 09/01/2017 08/14/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 524 525 526 2104 2105 2231 09/01/2017 Judith MacLaren 09/01/2017 Judith MacLaren 09/01/2017 Judy Cabrera 527 528 529 530 531 532 533 534 2233 2237 2241 2243 2245 2121 2122 2124 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Judy Cabrera Judy Cabrera Judy Cabrera Judy Cabrera Judy Cabrera Julie Guernsey Julie Guernsey Julie Guernsey 535 536 537 538 539 540 541 542 543 2249 2257 2263 2210 2219 2226 2229 2238 2343 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Julie Guernsey Julie Guernsey Julie Guernsey Julie Tinkham Julie Tinkham Julie Tinkham Julie Tinkham Julie Tinkham Julie Tinkham 544 545 546 547 548 2213 2215 2218 2220 2223 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 June Adkins June Adkins June Adkins June Adkins June Adkins 549 550 551 552 553 2225 2239 2246 2255 2258 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 June Adkins Karen Vosganian Karen Vosganian Karen Vosganian Karen Vosganian 554 555 556 2259 2261 2232 09/01/2017 Karen Vosganian 09/01/2017 Karen Vosganian 09/01/2017 Katherine Phillips Date Filed Name of Claimant 09/01/2017 John Gallager Joseph Hermann Joseph Hermann Joseph Hermann Juan M Martinez Judith MacLaren Judith MacLaren Judith MacLaren Judith MacLaren In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 48 of157 Exhibit 1 Amount Asserted Priority Debtor Name Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. BLANK General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Page 9 of 18 Debtor Number 17-22775 17-22839 17-22785 17-22774 17-22770 17-22773 17-22770 17-22773 17-22839 17-22775 17-22785 17-22774 17-22770 17-22774 17-22785 17-22839 17-22773 17-22775 17-22773 17-22774 17-22775 17-22785 17-22839 17-22770 17-22770 17-22770 17-22773 17-22774 17-22775 17-22785 17-22839 17-22775 17-22770 17-22773 17-22839 17-22774 17-22785 17-22770 17-22773 17-22775 17-22774 17-22785 17-22839 17-22773 17-22770 17-22785 17-22839 17-22774 17-22775 17-22839 17-22785 17-22770 17-22774 17-22775 17-22773 17-22773 17-22785 17-22774 17-22775 17-22770 17-22839 17-22785 17-22770-rdd Doc 823-1 Line 557 558 Claim Number 2236 2240 559 560 561 562 563 564 2244 2247 2253 1256 2119 2126 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Katherine Phillips Katherine Phillips Katherine Phillips Kathleen Labarge Kathleen Labarge Kathleen Labarge 565 566 567 568 569 570 571 1955 1970 1197 1984 1987 1993 2003 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Kathleen Labarge Kathleen Labarge Kathleen Labarge Kathleen Shaver Kathleen Shaver Kathleen Shaver Kathleen Shaver 572 573 574 575 576 2008 2014 2235 2242 2251 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Kathleen Shaver Kathleen Shaver Kathleen Stengel Kathleen Stengel Kathleen Stengel 577 578 579 580 581 582 583 2260 2272 2280 2127 2129 2131 2133 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Kathleen Stengel Kathleen Stengel Kathleen Stengel Kelli Eastman Billings Kelli Eastman Billings Kelli Eastman Billings Kelli Eastman Billings 584 585 586 587 588 589 590 2135 2138 2027 2040 2052 2063 2071 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Kelli Eastman Billings Kelli Eastman Billings Kevin Hennings Kevin Hennings Kevin Hennings Kevin Hennings Kevin Hennings 591 592 2080 2077 09/01/2017 Kevin Hennings 09/01/2017 Lana Izworski 593 594 595 596 597 598 599 600 2096 2106 2109 2116 2120 1851 1852 1854 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Lana Izworski Lana Izworski Lana Izworski Lana Izworski Lana Izworski Larry Mettetal Larry Mettetal Larry Mettetal 601 602 603 604 605 606 607 1855 1856 1858 1860 2248 2250 2252 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Larry Mettetal Larry Mettetal Larry Mettetal Laura Sheft Laura Sheft Laura Sheft Laura Sheft 608 609 610 611 612 613 614 615 2254 2256 1880 1882 1884 1887 1888 1891 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Laura Sheft Laura Sheft Lawrence Randal Lollar Lawrence Randal Lollar Lawrence Randal Lollar Lawrence Randal Lollar Lawrence Randal Lollar Lawrence Randal Lollar 616 617 2161 2167 09/01/2017 Lawrence Weiss 09/01/2017 Lawrence Weiss Date Filed Name of Claimant 09/01/2017 Katherine Phillips 09/01/2017 Katherine Phillips In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 49 of157 Exhibit 1 Amount Asserted Priority Debtor Name Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Page 10 of 18 Debtor Number 17-22839 17-22775 17-22774 17-22773 17-22770 17-22773 17-22785 17-22775 17-22774 17-22839 17-22770 17-22773 17-22839 17-22770 17-22775 17-22785 17-22774 17-22785 17-22839 17-22775 17-22774 17-22770 17-22773 17-22770 17-22774 17-22785 17-22775 17-22839 17-22773 17-22770 17-22785 17-22774 17-22839 17-22775 17-22773 17-22775 17-22785 17-22839 17-22770 17-22774 17-22773 17-22774 17-22785 17-22775 17-22839 17-22770 17-22773 17-22770 17-22773 17-22839 17-22775 17-22785 17-22774 17-22773 17-22839 17-22770 17-22785 17-22774 17-22775 17-22774 17-22785 17-22770-rdd Doc 823-1 Line 618 Claim Number 2175 619 620 621 622 623 624 625 626 2179 2189 2191 2123 2128 2130 2134 2137 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 627 628 629 2146 2132 2142 09/01/2017 Leonard Pilz 09/01/2017 Leonardo Rodriguez 09/01/2017 Leonardo Rodriguez 630 631 632 633 634 635 636 637 638 639 2150 2169 2178 2184 2204 2206 2207 2211 2212 2234 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Leonardo Rodriguez Leonardo Rodriguez Leonardo Rodriguez Leonardo Rodriguez Lew Phillips Lew Phillips Lew Phillips Lew Phillips Lew Phillips Lew Phillips 640 641 642 643 644 1793 1801 1820 1831 1837 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Linda Merola Linda Merola Linda Merola Linda Merola Linda Merola 645 646 647 648 649 1844 1063 1104 1056 1129 09/01/2017 08/31/2017 08/31/2017 08/31/2017 08/31/2017 Linda Merola Lorraine H. Scheppman Lorraine H. Scheppman Lorraine H. Scheppman Lorraine H. Scheppman 650 651 652 653 654 655 656 1030 1096 2110 2111 2112 2113 2115 08/31/2017 08/31/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Lorraine H. Scheppman Lorriane H. Scheppman Luz Murillo Luz Murillo Luz Murillo Luz Murillo Luz Murillo 657 658 659 2117 565 2174 660 2185 661 2194 662 2195 663 2198 664 2201 665 666 667 1853 1861 1869 09/01/2017 Luz Murillo 08/15/2017 Madalyn M. Bell Godbolt 09/01/2017 Marco Vinico for Minor Moises Ortiz 09/01/2017 Marco Vinico for Minor Moises Ortiz 09/01/2017 Marco Vinico for Minor Moises Ortiz 09/01/2017 Marco Vinico for Minor Moises Ortiz 09/01/2017 Marco Vinico for Minor Moises Ortiz 09/01/2017 Marco Vinico for Minor Moises Ortiz 09/01/2017 Mark Glick 09/01/2017 Mark Glick 09/01/2017 Mark Glick 668 669 670 671 672 1878 1883 1892 1654 1657 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 673 674 1661 1663 09/01/2017 Mark Manfredonia 09/01/2017 Mark Manfredonia Date Filed Name of Claimant 09/01/2017 Lawrence Weiss Lawrence Weiss Lawrence Weiss Lawrence Weiss Leonard Pilz Leonard Pilz Leonard Pilz Leonard Pilz Leonard Pilz Mark Glick Mark Glick Mark Glick Mark Manfredonia Mark Manfredonia In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 50 of157 Exhibit 1 Amount Asserted Priority Debtor Name Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC UNLIQUIDATED General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Debtor Number 17-22775 17-22770 17-22839 17-22773 17-22773 17-22770 17-22774 17-22839 17-22775 17-22785 17-22839 17-22775 17-22785 17-22774 17-22773 17-22770 17-22770 17-22785 17-22839 17-22773 17-22774 17-22775 17-22770 17-22773 17-22839 17-22774 17-22775 17-22785 17-22785 17-22774 17-22773 17-22775 17-22839 17-22770 17-22773 17-22839 17-22785 17-22770 17-22775 17-22774 17-22774 17-22773 Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC 17-22839 Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC 17-22774 Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC 17-22785 Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. 17-22770 Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC 17-22775 Page 11 of 18 17-22785 17-22839 17-22775 17-22774 17-22770 17-22773 17-22785 17-22775 17-22770 17-22839 17-22770-rdd Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 51 of157 Line 675 676 677 678 Claim Number 1665 1669 1142 1144 Date Filed 09/01/2017 09/01/2017 08/31/2017 08/31/2017 Name of Claimant Mark Manfredonia Mark Manfredonia Mary Collette Scheppman Mary Collette Scheppman Amount Asserted Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Priority General Unsecured General Unsecured General Unsecured General Unsecured 679 680 681 682 683 1143 1069 1082 1050 1555 08/31/2017 08/31/2017 08/31/2017 08/31/2017 09/04/2017 Mary Collette Scheppman Mary Collette Scheppman Mary Collette Scheppman Mary Collette Scheppman Mary J. Leavenworth Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 BLANK General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 684 685 686 687 2458 2452 2454 2456 09/05/2017 09/05/2017 09/05/2017 09/05/2017 MATTHEW BENZION MATTHEW BENZION MATTHEW BENZION MATTHEW BENZION Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured 688 689 690 691 692 693 2457 2453 1413 1416 1427 1428 09/05/2017 09/05/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 MATTHEW BENZION MATTHEW BENZION Matthew Sikora Matthew Sikora Matthew Sikora Matthew Sikora Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 694 695 696 697 698 699 700 701 1429 1430 1486 1487 1491 1492 1494 1495 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Matthew Sikora Matthew Sikora Maureen Trelease Maureen Trelease Maureen Trelease Maureen Trelease Maureen Trelease Maureen Trelease Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 702 1459 09/01/2017 Melissa Rich Not less than $1,000.00 General Unsecured 703 704 705 706 707 708 709 1460 1462 1463 1464 2139 2125 2151 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Melissa Rich Melissa Rich Melissa Rich Melissa Rich Melissa Rich Michael K. Martin Michael K. Martin Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 710 711 712 713 714 715 716 717 2157 2163 2168 2172 2145 2153 2156 2159 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Michael K. Martin Michael K. Martin Michael K. Martin Michael K. Martin Michael M. Moorhead Michael M. Moorhead Michael M. Moorhead Michael M. Moorhead Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 718 719 720 2164 2165 2043 721 2046 722 2049 723 2140 724 2141 725 2144 726 727 728 729 730 731 1483 2273 2274 2275 2276 2277 09/01/2017 Michael M. Moorhead 09/01/2017 Michael M. Moorhead 09/01/2017 Michael Marcantonio for son Matthew Marcantonio 09/01/2017 Michael Marcantonio for son Matthew Marcantonio 09/01/2017 Michael Marcantonio for son Matthew Marcantonio 09/01/2017 Michael Marcantonio for son Matthew Marcantonio 09/01/2017 Michael Marcantonio for son Matthew Marcantonio 09/01/2017 Michael Marcantonio for son Matthew Marcantonio 09/01/2017 Michael Wagner 09/01/2017 Michael Wagner 09/01/2017 Michael Wagner 09/01/2017 Michael Wagner 09/01/2017 Michael Wagner 09/01/2017 Michael Wagner In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) Not less than $1,000.00 General Unsecured Not less than $1,000.00 General Unsecured Not less than $1,000.00 General Unsecured Exhibit 1 Debtor Name 21st Century Oncology, Inc. 21st Century Oncology, LLC 21st Century Oncology, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology Services, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology, LLC 21st Century Oncology Investments, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology, Inc. 21st Century Oncology Services, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology, LLC 21st Century Oncology Investments, LLC 21st Century Oncology Services, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology, LLC 21st Century Oncology Investments, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology, LLC 21st Century Oncology Services, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology, LLC 21st Century Oncology Investments, LLC 21st Century Oncology, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology Services, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology Services, LLC 21st Century Oncology, LLC 21st Century Oncology, Inc. 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology Services, LLC 21st Century Oncology, LLC 21st Century Oncology, LLC Debtor Number 17-22773 17-22774 17-22773 17-22775 17-22785 17-22770 17-22774 17-22839 17-22775 17-22773 17-22785 17-22770 17-22775 17-22774 17-22839 17-22785 17-22770 17-22773 17-22775 17-22774 17-22839 17-22770 17-22773 17-22839 17-22774 17-22785 17-22775 17-22775 17-22774 17-22839 17-22773 17-22770 17-22785 17-22770 17-22775 17-22839 17-22785 17-22774 17-22773 17-22773 17-22839 17-22770 17-22775 17-22785 17-22774 17-22774 Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC 17-22785 Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. 17-22775 17-22770 Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. 17-22773 Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC 17-22839 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 17-22770 17-22774 17-22773 17-22785 17-22839 17-22775 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured Page 12 of 18 21st Century Oncology Holdings, Inc. 21st Century Oncology, LLC 21st Century Oncology, Inc. 21st Century Oncology Services, LLC 21st Century Oncology Investments, LLC 21st Century Oncology Management Services, Inc. 17-22770-rdd Doc 823-1 Line 732 733 734 Claim Number 1730 1732 1733 735 736 737 738 739 740 741 742 743 1735 1737 1739 2305 1372 1375 1379 1380 1382 09/01/2017 09/01/2017 09/01/2017 09/05/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Michele Marcantonio Michele Marcantonio Michele Marcantonio Myra Miller Nina Brudi Nina Brudi Nina Brudi Nina Brudi Nina Brudi 744 745 746 747 748 1377 2059 2065 2069 2075 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Nina Brudi Nona Barker Trogdon Nona Barker Trogdon Nona Barker Trogdon Nona Barker Trogdon 749 750 751 752 753 754 755 756 2078 2082 229 846 2029 2034 2037 2038 09/01/2017 09/01/2017 08/02/2017 08/28/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Nona Barker Trogdon Nona Barker Trogdon Paige Schwartz Pamela K. Kramer Pamela Schrader Pamela Schrader Pamela Schrader Pamela Schrader 757 758 759 760 761 762 763 764 2048 2053 1477 1478 1479 1480 1481 1482 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Pamela Schrader Pamela Schrader Paola Rocha Paola Rocha Paola Rocha Paola Rocha Paola Rocha Paola Rocha 765 766 767 1471 1472 1473 09/01/2017 Peter Picciolini 09/01/2017 Peter Picciolini 09/01/2017 Peter Picciolini 768 769 770 771 772 1474 1475 1476 1979 1994 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Peter Picciolini Peter Picciolini Peter Picciolini Peter Sarafin Peter Sarafin 773 774 775 776 777 1996 1999 2001 2007 1969 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Peter Sarafin Peter Sarafin Peter Sarafin Peter Sarafin Philip Tinkham 778 779 780 781 782 783 1971 1973 1976 1977 1978 2279 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 784 2281 09/01/2017 785 2283 09/01/2017 786 2284 09/01/2017 787 2285 09/01/2017 788 2286 09/01/2017 789 1960 09/01/2017 Philip Tinkham Philip Tinkham Philip Tinkham Philip Tinkham Philip Tinkham Plaintiffs in the Data Breach Litigation, et al Plaintiffs in the Data Breach Litigation, et al Plaintiffs in the Data Breach Litigation, et al Plaintiffs in the Data Breach Litigation, et al Plaintiffs in the Data Breach Litigation, et al Plaintiffs in the Data Breach Litigation, et al Randal Lollar Date Filed Name of Claimant 09/01/2017 Michele Marcantonio 09/01/2017 Michele Marcantonio 09/01/2017 Michele Marcantonio In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 52 of157 Exhibit 1 Amount Asserted Priority Debtor Name Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. $100.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC $500.00 Secured 21st Century Oncology Holdings, Inc. $2,825.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $123,200,00General Unsecured 21st Century Oncology Investments, LLC Debtor Number 17-22774 17-22785 17-22775 17-22770 17-22839 17-22773 17-22773 17-22785 17-22774 17-22773 17-22770 17-22775 17-22839 17-22773 17-22839 17-22770 17-22775 17-22785 17-22774 17-22770 17-22770 17-22839 17-22773 17-22770 17-22775 17-22785 17-22774 17-22770 17-22773 17-22839 17-22774 17-22785 17-22775 17-22785 17-22839 17-22775 17-22774 17-22773 17-22770 17-22773 17-22775 17-22839 17-22785 17-22770 17-22774 17-22775 17-22785 17-22774 17-22839 17-22770 17-22773 17-22839 Not less than $123,200,00General Unsecured 21st Century Oncology, LLC 17-22774 Not less than $123,200,00General Unsecured 21st Century Oncology, Inc. 17-22773 Not less than $123,200,00General Unsecured 21st Century Oncology Management Services, Inc. Not less than $123,200,00General Unsecured 21st Century Oncology Holdings, Inc. 17-22775 17-22770 Not less than $123,200,00General Unsecured 21st Century Oncology Services, LLC 17-22785 Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Page 13 of 18 17-22773 17-22770-rdd Line 790 791 792 793 Claim Number 1961 1962 1963 1964 Date Filed 09/01/2017 09/01/2017 09/01/2017 09/01/2017 794 795 796 797 798 799 800 801 802 1965 832 446 1947 1950 1954 1956 1957 1967 803 804 805 806 807 Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 53 of157 Name of Claimant Randal Lollar Randal Lollar Randal Lollar Randal Lollar Amount Asserted Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Priority General Unsecured General Unsecured General Unsecured General Unsecured 09/01/2017 08/29/2017 08/10/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Randal Lollar Randall Morton RANDALL T. CLAIR Raymond and Cruz Johnson Raymond and Cruz Johnson Raymond and Cruz Johnson Raymond and Cruz Johnson Raymond and Cruz Johnson Raymond and Cruz Johnson Not less than $1,000.00 BLANK $79.95 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 1920 1925 1927 1933 1938 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Renee D. Lollar Renee D. Lollar Renee D. Lollar Renee D. Lollar Renee D. Lollar Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 808 809 810 811 812 813 1940 1875 1881 1906 1910 1913 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Renee D. Lollar Richard Fryman Richard Fryman Richard Fryman Richard Fryman Richard Fryman Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 814 815 816 817 818 819 820 1916 1809 1829 1832 1835 1842 1847 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Richard Fryman Richard White Richard White Richard White Richard White Richard White Richard White Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 821 822 823 1251 1216 1252 09/01/2017 Rita Marx 09/01/2017 Rita Marx 09/01/2017 Rita Marx Not less than $1,000.00 General Unsecured Not less than $1,000.00 General Unsecured Not less than $1,000.00 General Unsecured 824 825 826 827 828 1253 1254 1255 1519 1520 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Rita Marx Rita Marx Rita Marx Robert Amodeo Robert Amodeo Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 829 830 831 832 833 1521 1522 1523 1524 1877 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Robert Amodeo Robert Amodeo Robert Amodeo Robert Amodeo Robert Orrach Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 834 835 836 837 838 839 1885 1894 1901 1914 2345 1763 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 840 1765 09/01/2017 841 1767 09/01/2017 842 1769 09/01/2017 843 1770 09/01/2017 844 1772 09/01/2017 845 846 847 1788 1789 1790 09/01/2017 09/01/2017 09/01/2017 Robert Orrach Robert Orrach Robert Orrach Robert Orrach Robert Orrach Robert Vosganian for Minor Jaime Vosganian Robert Vosganian for Minor Jaime Vosganian Robert Vosganian for Minor Jaime Vosganian Robert Vosganian for Minor Jaime Vosganian Robert Vosganian for Minor Jaime Vosganian Robert Vosganian for Minor Jaime Vosganian Roberta Harms-Mavis Roberta Harms-Mavis Roberta Harms-Mavis In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) Exhibit 1 Debtor Name 21st Century Oncology, LLC 21st Century Oncology Investments, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology Services, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology, LLC 21st Century Oncology, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology Services, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology, LLC 21st Century Oncology Services, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology Services, LLC 21st Century Oncology, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology, Inc. 21st Century Oncology Services, LLC 21st Century Oncology, LLC 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology Services, LLC 21st Century Oncology, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology Services, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology Services, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology, LLC 21st Century Oncology, Inc. Debtor Number 17-22774 17-22839 17-22770 17-22775 17-22785 17-22770 17-22770 17-22839 17-22774 17-22773 17-22770 17-22785 17-22775 17-22774 17-22785 17-22770 17-22839 17-22775 17-22773 17-22839 17-22785 17-22774 17-22770 17-22775 17-22773 17-22785 17-22774 17-22773 17-22839 17-22770 17-22775 17-22839 17-22774 17-22775 17-22785 17-22773 17-22770 17-22774 17-22775 17-22839 17-22785 17-22770 17-22773 17-22775 17-22773 17-22839 17-22785 17-22770 17-22774 17-22773 Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC 17-22839 Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. 17-22770 Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC 17-22775 17-22785 Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC 17-22774 Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC 17-22770 17-22774 17-22785 Page 14 of 18 17-22770-rdd Doc 823-1 Line 848 849 Claim Number 1794 1795 850 851 1797 1452 09/01/2017 Roberta Harms-Mavis 09/01/2017 Rosario Diaz 852 853 854 855 856 857 858 859 860 861 862 1454 1455 1457 1458 1461 879 886 876 877 891 892 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 08/30/2017 08/30/2017 08/30/2017 08/30/2017 08/30/2017 08/30/2017 Rosario Diaz Rosario Diaz Rosario Diaz Rosario Diaz Rosario Diaz Roxanne Haatvedt Roxanne Haatvedt Roxanne Haatvedt Roxanne Haatvedt Roxanne Haatvedt Roxanne Haatvedt 863 864 865 866 867 868 1754 1758 1762 1774 1777 1780 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Rupert and Bevalie Winder Rupert and Bevalie Winder Rupert and Bevalie Winder Rupert and Bevalie Winder Rupert and Bevalie Winder Rupert and Bevalie Winder 869 1443 09/01/2017 Russell H. Bosch 870 871 872 873 874 875 1444 1445 1447 1448 1449 1387 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Russell H. Bosch Russell H. Bosch Russell H. Bosch Russell H. Bosch Russell H. Bosch Ruth Rodriguez 876 877 878 879 880 881 882 1389 1393 1394 1395 1863 1740 1743 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Ruth Rodriguez Ruth Rodriguez Ruth Rodriguez Ruth Rodriguez Ruth Rodriguez Sally Reisinger Sally Reisinger 883 884 885 886 887 1745 1746 1748 1750 1437 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Sally Reisinger Sally Reisinger Sally Reisinger Sally Reisinger Sam Brunson 888 889 890 891 892 893 894 895 896 897 898 1438 1439 1440 1441 1442 2372 1362 1364 1367 1369 1370 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/05/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Sam Brunson Sam Brunson Sam Brunson Sam Brunson Sam Brunson Samantha J. Brooks Sandra K. Johnson Sandra K. Johnson Sandra K. Johnson Sandra K. Johnson Sandra K. Johnson 899 900 1371 1419 09/01/2017 Sandra K. Johnson 09/01/2017 Sandra Palladino 901 902 903 904 905 906 907 1423 1431 1432 1433 1434 1720 1725 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 908 1731 09/01/2017 Sandra Pirkle Date Filed Name of Claimant 09/01/2017 Roberta Harms-Mavis 09/01/2017 Roberta Harms-Mavis Sandra Palladino Sandra Palladino Sandra Palladino Sandra Palladino Sandra Palladino Sandra Pirkle Sandra Pirkle In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 54 of157 Exhibit 1 Amount Asserted Priority Debtor Name Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. BLANK Priority 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Page 15 of 18 Debtor Number 17-22839 17-22775 17-22773 17-22775 17-22770 17-22773 17-22839 17-22774 17-22785 17-22774 17-22770 17-22839 17-22773 17-22785 17-22775 17-22774 17-22839 17-22773 17-22770 17-22785 17-22775 17-22775 17-22785 17-22774 17-22839 17-22773 17-22770 17-22775 17-22785 17-22774 17-22839 17-22773 17-22770 17-22770 17-22775 17-22785 17-22839 17-22774 17-22773 17-22775 17-22785 17-22774 17-22839 17-22773 17-22770 17-22770 17-22773 17-22839 17-22774 17-22785 17-22775 17-22770 17-22775 17-22785 17-22774 17-22839 17-22773 17-22770 17-22770 17-22775 17-22839 17-22770-rdd Line 909 910 911 912 913 914 915 916 Claim Number 1734 1738 1741 888 880 881 882 885 Date Filed 09/01/2017 09/01/2017 09/01/2017 08/30/2017 08/30/2017 08/30/2017 08/30/2017 08/30/2017 917 918 919 920 887 1033 1118 1093 921 922 923 924 925 926 927 Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 55 of157 Name of Claimant Sandra Pirkle Sandra Pirkle Sandra Pirkle Sharon MacDermid Sharon MacDermid Sharon MacDermid Sharon MacDermid Sharon MacDermid Amount Asserted Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Priority General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 08/30/2017 08/31/2017 08/31/2017 08/31/2017 Sharon MacDermid Sheldon E. Finman Sheldon E. Finman Sheldon E. Finman Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured 1111 1090 1027 1694 1696 1702 1705 08/31/2017 08/31/2017 08/31/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Sheldon E. Finman Sheldon E. Finman Sheldon E. Finman Sherri Zimmerman Sherri Zimmerman Sherri Zimmerman Sherri Zimmerman Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 928 929 930 931 932 1712 1736 1383 1384 1388 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Sherri Zimmerman Sherri Zimmerman Sherry Landry Sherry Landry Sherry Landry Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 933 934 935 936 937 938 939 940 1392 1409 1414 1632 1628 1635 1644 1650 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Sherry Landry Sherry Landry Sherry Landry Stacey Schall Stacey Schall Stacey Schall Stacey Schall Stacey Schall Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 941 942 943 1664 1353 1357 09/01/2017 Stacey Schall 09/01/2017 Stacey Schwartz 09/01/2017 Stacey Schwartz Not less than $1,000.00 General Unsecured Not less than $1,000.00 General Unsecured Not less than $1,000.00 General Unsecured 944 945 946 947 948 949 950 1359 1361 1373 1374 1335 1341 1343 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Stacey Schwartz Stacey Schwartz Stacey Schwartz Stacey Schwartz Stephen Clark Wilbur Stephen Clark Wilbur Stephen Clark Wilbur Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 951 952 953 954 955 956 957 958 959 1345 1346 1350 2558 1312 1314 1323 1325 1326 09/01/2017 09/01/2017 09/01/2017 10/02/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Stephen Clark Wilbur Stephen Clark Wilbur Stephen Clark Wilbur Steve Shamansky Steven R. Brehio Steven R. Brehio Steven R. Brehio Steven R. Brehio Steven R. Brehio Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 UNLIQUIDATED Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured 960 961 962 1328 1296 1298 09/01/2017 Steven R. Brehio 09/01/2017 Susan Lewin 09/01/2017 Susan Lewin Not less than $1,000.00 General Unsecured Not less than $1,000.00 General Unsecured Not less than $1,000.00 General Unsecured 963 964 965 966 967 1300 1305 1307 1308 1282 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 Not less than $1,000.00 968 969 970 1285 1287 1290 09/01/2017 Susan Tadey 09/01/2017 Susan Tadey 09/01/2017 Susan Tadey Susan Lewin Susan Lewin Susan Lewin Susan Lewin Susan Tadey In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) General Unsecured General Unsecured General Unsecured General Unsecured General Unsecured Not less than $1,000.00 General Unsecured Not less than $1,000.00 General Unsecured Not less than $1,000.00 General Unsecured Page 16 of 18 Exhibit 1 Debtor Name 21st Century Oncology Services, LLC 21st Century Oncology, Inc. 21st Century Oncology, LLC 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology Services, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology, LLC 21st Century Oncology Services, LLC 21st Century Oncology Investments, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology, LLC 21st Century Oncology, LLC 21st Century Oncology Services, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology Services, LLC 21st Century Oncology, LLC 21st Century Oncology Investments, LLC 21st Century Oncology, Inc. 21st Century Oncology, LLC 21st Century Oncology Investments, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology Services, LLC 21st Century Oncology, Inc. 21st Century Oncology Management Services, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology Services, LLC 21st Century Oncology, LLC 21st Century Oncology Investments, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology Services, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology, LLC 21st Century Oncology Investments, LLC 21st Century Oncology, Inc. 21st Century Oncology of South Carolina, LLC 21st Century Oncology Holdings, Inc. 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC 21st Century Oncology, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology Services, LLC 21st Century Oncology Investments, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology, LLC 21st Century Oncology Services, LLC 21st Century Oncology Management Services, Inc. 21st Century Oncology Holdings, Inc. 21st Century Oncology, Inc. 21st Century Oncology Investments, LLC Debtor Number 17-22785 17-22773 17-22774 17-22773 17-22839 17-22785 17-22770 17-22775 17-22774 17-22785 17-22839 17-22775 17-22773 17-22770 17-22774 17-22774 17-22785 17-22770 17-22775 17-22773 17-22839 17-22773 17-22770 17-22775 17-22785 17-22774 17-22839 17-22773 17-22774 17-22839 17-22770 17-22775 17-22785 17-22773 17-22775 17-22770 17-22785 17-22774 17-22839 17-22770 17-22785 17-22775 17-22774 17-22839 17-22773 17-22783 17-22770 17-22773 17-22839 17-22774 17-22775 17-22785 17-22839 17-22775 17-22773 17-22770 17-22774 17-22785 17-22775 17-22770 17-22773 17-22839 17-22770-rdd Line 971 972 973 Claim Number 1292 1294 1608 974 975 976 977 978 979 1616 1627 1656 1666 1676 1513 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 980 981 982 983 984 985 986 987 1514 1515 1516 1517 1518 483 1582 1583 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 08/12/2017 09/01/2017 09/01/2017 988 989 990 991 992 993 994 995 1584 1585 1587 1588 1331 1502 1503 1504 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 996 997 998 999 1000 1001 1002 1003 1506 1505 1198 1199 1200 1201 1202 1203 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 1004 1005 2602 1573 10/21/2017 09/01/2017 1006 1007 1008 1009 1010 1011 1575 1576 1577 1579 1599 2349 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/05/2017 1012 2351 09/05/2017 1013 2352 09/05/2017 1014 2353 09/05/2017 1015 2348 09/05/2017 1016 2367 09/05/2017 1017 1018 1274 1275 09/01/2017 09/01/2017 1019 1020 1021 1022 1023 1276 1277 1278 1279 1553 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 1024 1025 1026 1027 1028 1560 1564 1566 1568 1572 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Doc 823-1 Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 56 of157 Date Filed Name of Claimant 09/01/2017 Susan Tadey 09/01/2017 Susan Tadey 09/01/2017 Teresa Rines Moorhead Exhibit 1 Amount Asserted Priority Debtor Name Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Teresa Rines Moorhead Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Teresa Rines Moorhead Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Teresa Rines Moorhead Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Teresa Rines Moorhead Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Teresa Rines Moorhead Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Terry and Deborah Turner Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Terry and Deborah Turner Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Terry and Deborah Turner Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Terry and Deborah Turner Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Terry and Deborah Turner Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Terry and Deborah Turner Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Thomas Anker $0.00 General Unsecured 21st Century Oncology Holdings, Inc. Thomas Harken Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Thomas Harken Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Thomas Harken Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Thomas Harken Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Thomas Harken Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Thomas Harken Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Thomas Wilson Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Thomas Wilson Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Thomas Wilson Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Thomas Wilson Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Thomas Wilson Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Thomas Wilson Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Tim Meulenberg Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Tim Meulenberg Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Tim Meulenberg Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Tim Meulenberg Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Tim Meulenberg Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Tim Meulenberg Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Timmy W. Tucker $6,000.00 Priority 21st Century Oncology Holdings, Inc. Tom Sappington Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Tom Sappington Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Tom Sappington Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Tom Sappington Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Tom Sappington Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Tom Sappington Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Valerie Corbel on behalf of The Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Estate of James Corbel Valerie Corbel on behalf of The Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Estate of James Corbel Valerie Corbel on behalf of The Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Estate of James Corbel Valerie Corbel on behalf of The Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Estate of James Corbel Valerie Corbel on behalf of The Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Estate of James Corbel Valerie Corbel on behalf of The Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Estate of James Corbel Inc. Veneta Delucchi Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Veneta Delucchi Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Veneta Delucchi Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Veneta Delucchi Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Veneta Delucchi Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Veneta Delucchi Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Vicki Purnhagen Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Vicki Purnhagen Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Vicki Purnhagen Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Vicki Purnhagen Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Vicki Purnhagen Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Vicki Purnhagen Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) Page 17 of 18 Debtor Number 17-22774 17-22785 17-22775 17-22839 17-22770 17-22774 17-22773 17-22785 17-22775 17-22785 17-22774 17-22839 17-22773 17-22770 17-22770 17-22773 17-22775 17-22839 17-22785 17-22774 17-22770 17-22774 17-22785 17-22839 17-22775 17-22770 17-22773 17-22785 17-22770 17-22773 17-22774 17-22839 17-22775 17-22770 17-22775 17-22770 17-22839 17-22785 17-22774 17-22773 17-22770 17-22774 17-22839 17-22773 17-22785 17-22775 17-22785 17-22775 17-22774 17-22839 17-22773 17-22770 17-22775 17-22770 17-22785 17-22774 17-22773 17-22839 17-22770-rdd Doc 823-1 Line 1029 1030 1031 Claim Number 1531 1532 1533 1032 1033 1034 1035 1036 1037 1534 1535 1536 1538 1540 1544 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Walter and Lorraine Roberts Walter and Lorraine Roberts Walter and Lorraine Roberts Walter Key Jr. Walter Key Jr. Walter Key Jr. 1038 1039 1040 1041 1042 1554 1561 1565 2488 763 09/01/2017 09/01/2017 09/01/2017 09/11/2017 08/24/2017 1043 1044 1045 1046 1047 1048 1570 1537 1539 1541 1543 1546 09/03/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 Walter Key Jr. Walter Key Jr. Walter Key Jr. Warren Sabatino Wesley Dana Plante, D.E.A. in Security in Rhode Island Wesley Hicks William A. Herndon William A. Herndon William A. Herndon William A. Herndon William A. Herndon 1049 1050 1051 1052 1053 1054 1055 1547 1496 1497 1498 1499 1500 1501 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 William A. Herndon William Barry William Barry William Barry William Barry William Barry William Barry 1056 1057 1058 1059 1060 1221 1270 1271 1272 1196 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 William Coleman William Coleman William Coleman William Coleman William Coleman 1061 1062 1063 1064 1065 1066 1067 1217 1465 1466 1467 1468 1469 1470 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 William Coleman William Deyorra William Deyorra William Deyorra William Deyorra William Deyorra William Deyorra 1068 1069 1070 1071 1072 1073 1074 436 1507 1508 1509 1510 1511 1512 08/09/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 09/01/2017 WILLIAMS, BRENDA L Willie Grimsley Willie Grimsley Willie Grimsley Willie Grimsley Willie Grimsley Willie Grimsley Date Filed Name of Claimant 09/01/2017 Walter and Lorraine Roberts 09/01/2017 Walter and Lorraine Roberts 09/01/2017 Walter and Lorraine Roberts In re 21st Century Oncology Holdings, Inc. Case No. 17-22770 (RDD) Filed 12/11/17 Entered 12/11/17 16:16:53 PgSchedule 57 of157 Exhibit 1 Amount Asserted Priority Debtor Name Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. BLANK General Unsecured 21st Century Oncology Holdings, Inc. $50,000.00 Priority 21st Century Oncology Management Services, Inc. $50,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. $0.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology Holdings, Inc. Not less than $1,000.00 General Unsecured 21st Century Oncology, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Investments, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Services, LLC Not less than $1,000.00 General Unsecured 21st Century Oncology Management Services, Inc. Page 18 of 18 Debtor Number 17-22785 17-22839 17-22775 17-22774 17-22773 17-22770 17-22774 17-22785 17-22775 17-22770 17-22839 17-22773 17-22770 17-22775 17-22770 17-22774 17-22770 17-22785 17-22839 17-22775 17-22773 17-22770 17-22773 17-22839 17-22774 17-22785 17-22775 17-22785 17-22773 17-22770 17-22839 17-22775 17-22774 17-22774 17-22770 17-22773 17-22839 17-22785 17-22775 17-22770 17-22773 17-22770 17-22774 17-22839 17-22785 17-22775