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Document Page 1 of 11 IN THE UNITED STATES BANKRUPTCY COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA KidsPeace Corporation, 1 KidsPeace Children s Hospital, Inc., KidsPeace Mesabi Academy, Inc.,, Inc., of Georgia, Inc., 1 The Debtors and the last four digits of their respective taxpayer identification numbers are as follows: KidsPeace Corporation (3394); KidsPeace Children s Hospital, Inc. (4910); KidsPeace Mesabi Academy, Inc. (4179);, Inc. (4908); of Georgia, Inc. (7440); of New England, Inc. (1326); of North America, Inc. (4765); Iron Range School, Inc. (0561); and of New York, Inc. (1888). The Debtors address is 5300 KidsPeace Drive, Orefield, Pennsylvania 18069.

Document Page 2 of 11 of New England, Inc., of North America, Inc., Iron Range School, Inc., of New York, Inc., MOTION FOR ENTRY OF AN ORDER SCHEDULING EXPEDITED HEARINGS ON THE DEBTORS' CRITICAL FIRST DAY MOTIONS The above-captioned debtors and debtors in possession (collectively, the "Debtors"), by and through their undersigned proposed attorney, hereby submit this motion (the "Motion") pursuant to section 105(a) of Title 11 of the United States Code, 11 U.S.C. 101 et seq., as amended (the "Bankruptcy Code") and rule 9006(d) and 9007 of the Federal Rules of Bankruptcy Procedure (each a "Bankruptcy Rule" and together the "Bankruptcy Rules") for the 31859-4 2

Document Page 3 of 11 entry of an order, substantially in the form attached hereto, scheduling an expedited hearing on the Debtors' Critical First Day Motions (as defined below). In support of this Motion, the Debtors respectfully state as follows: JURISDICTION 1. The Court has jurisdiction over this matter pursuant to 28 U.S.C. 157 and 1334. This matter is a core proceeding within the meaning of 28 U.S.C. 157(b)(2). 2. Venue is proper pursuant to 28 U.S.C. 1408 and 1409. 3. The statutory bases for the relief requested herein are section 105(a) of the Bankruptcy Code, Rules 9006(d) and 9007 of the Federal Rules of Bankruptcy Procedure and Rules 1002-2 and 5070-1 of the Local Bankruptcy Rules of the United States Bankruptcy Court for the Eastern District of Pennsylvania (the "Local Rules"). BACKGROUND 4. On the date hereof (the "Petition Date"), each of the Debtors filed a voluntary petition for relief under chapter 11 the Bankruptcy Code. The Debtors are operating their businesses and managing their property as debtors in possession pursuant to sections 1107(a) and 1108 of the Bankruptcy Code. No request for the appointment of a trustee or examiner has been made in these chapter 11 cases (the Cases ) and, as of the date of the filing of this Motion, no official committees have been appointed or designated. 5. KidsPeace Corporation ( KP Corp. ), which is located in Orefield, Pennsylvania, is a nonprofit corporation organized under the laws of the Commonwealth of Pennsylvania. KP Corp., through its subsidiary corporations, (i) operates a unique 96-bed psychiatric hospital, the KidsPeace Children s Hospital, which provides acute behavioral healthcare to children ages 4 to 18 and young adults ages 18 to 21 from Pennsylvania and other states; (ii) provides a 31859-4 3

Document Page 4 of 11 comprehensive range of residential treatment programs, regular and special education services, and a variety of foster care and community-based treatment programs to help children, adolescents and young adults overcome challenges and transform their lives; and (iii) provides mental, emotional and physical healthcare and education services in an atmosphere of teamwork, compassion and creativity. 6. KP Corp. operates through six "subsidiary" nonprofit Pennsylvania member corporations and one subsidiary nonprofit New York corporation. KP Corp. is the sole member of each corporation. Except for employees of KidsPeace Mesabi Academy ( KPMA ), all fulltime and part-time employees are employed by KP Corp., regardless of which subsidiary operates a particular program. All full-time and part-time employees at KPMA are employed by KPMA. There is also one inactive subsidiary corporation that provides no services or programs. 7. KP Corp. employs approximately 1,951 full and part-time employees, including approximately 143 licensed nurses, 8 physicians and 50 specialized teachers, providing various services, including, but not limited to, residential and educational services, foster care placement, community-based programs and outpatient services to children, families, and communities at the Pennsylvania, Georgia, and Maine campuses, and through foster care offices across the country. KPMA employs approximately 127 full and part-time employees. KP Corp also contracts with approximately 740 foster parents, who are not employees but who are provided with twice per month stipends whenever foster children are placed in their homes. 8. Historically, the Debtors have operated a successful business and have been financially sound. In recent years, however, the Debtors, like many other organizations in their field, have faced increased challenges. Reimbursement rates, particularly rates under the Medicaid program, the Debtors largest payor, have been cut dramatically. Occupancy rates for 31859-4 4

Document Page 5 of 11 residential programs have fallen significantly as eligibility criteria have been raised and placements from states outside Pennsylvania have declined due to the cost-saving measures of many state governments. 9. The Debtors annual revenues on a consolidated basis were $123,248,393 for the fiscal year ending on December 31, 2009; $114,151,765 for the fiscal year ending on December 31, 2010; $116,370,155 for the fiscal year ending on December 31, 2011 and $119,927,620 for the fiscal year ending on December 31, 2012. The Debtors annual expenses on a consolidated basis were $122,675,885 in 2009; $120,648,428 in 2010; $118,004,981 in 2011, and $124,485,531 in 2012, respectively. Earnings before interest, depreciation and amortization for the Debtors were $9,224,864 in 2009; $1,946,559 in 2010; $6,467,408 in 2011, and $3,114,768 in 2012. 10. For the 3 month period ending March 31, 2013, the Debtors revenues on a consolidated basis were approximately $30,699,949 and their expenses for the same period were approximately $30,931,804. 11. The Debtors total assets, as shown on their books, were $97,180,719 in 2009; $93,313,153 in 2010; $90,568,550 in 2011, and $86,666,989 in 2012. The Debtors total liabilities, as shown on their books, were $108,661,513 in 2009; $121,504,923 in 2010; $138,705,097 in 2011, and $158,587,999 in 2012. As discussed below, the Debtors owe approximately $56,206,821 in bond debt, and they have been told that their pension liability is allegedly about $100,000,000 of which the Debtors currently reflect $83,049,412 on their books. 12. The Debtors' primary secured debts are the following: (i) A loan pursuant to a credit agreement dated September 14, 2009 (as amended from time to time) with Gemino Healthcare Finance ( Gemino ) for a $7,500,000 line of credit, which is secured by a first priority position on the Debtors accounts receivable, worth approximately $28 million. The current 31859-4 5

Document Page 6 of 11 outstanding amount on the Gemino line is approximately $4 million. Gemino, KP Corp., KPCH, KPNC, and the Bond Trustee entered into a Subordination and Intercreditor Agreement dated as of April 6, 2010 (as amended from time to time) that governs the rights and remedies of Gemino and the Bond Trustee (as defined below), respectively, to each party s individual secured collateral. (ii) In 1998 and 1999, KidsPeace Corporation,, Inc., and KidsPeace Children s Hospital, Inc. (the Obligated Group ) issued revenue bonds (the 1998 Bonds and the 1999 Bonds, and collectively, the Bonds ) through the Lehigh County General Purpose Authority in the original principal amount of $74,985,000. The amount of Bond debt currently outstanding is $51,310,000 plus accrued interest. UMB Bank, N.A, the Indenture Trustee for the Bonds (the Bond Trustee ) was granted a lien on, and security interest in, all of the Gross Receipts (as defined in the Trust Indenture for the Bonds) to secure the Bonds. As a result of the default by the Obligated Group in the payment of debt service on the Bonds in 2012, Debtors, with the exception of KP Georgia, entered into a Forbearance Agreement (the Forbearance Agreement ) dated January 11, 2013 with the Indenture Trustee, consented to by the holders of the majority in principal amount of the Bonds (the Majority Bondholders ) whereby, among other things, KidsPeace Corporation executed a mortgage limited to $15,000,000 on the Debtors Orchard Hills Campus in Orefield, PA in favor of the Bond Trustee, as mortgagee, as partial consideration for the Bond Trustee s agreement to forbear from the exercise of remedies available to it due to the defaults of the Obligated Group. (iii) In December 2003, KP Georgia issued Certificates of Participation (the Certificates ) in two separate series totaling $3,600,000. A portion of these Certificates, totaling $3,240,000, constitutes Series A bonds, principal payment of which is guaranteed by the U.S. Department of Agriculture (the USDA ). Another portion of these Certificates, totaling $360,000, constitutes Series B bonds, with no USDA guarantee. The Certificates are secured by a general pledge of gross revenue and certain real estate of KP Georgia, Inc., pursuant to a loan and trust agreement. The current outstanding balance on the Certificates approximates $2,910,000. (iv) The Debtors currently have a mortgage payable to National Penn Bank, secured against the National Headquarters building in Schnecksville, PA, at a fixed rate of interest of 6.7% due in monthly installments of principal and interest of $16,308 through May 2014, with a final payment of $1,088,428 in June 2014. (v) Certain insurance programs of the Debtors require the Debtors to post letters of credit (the LOCs ). The Debtors have LOCs with M & T Bank. The Debtors are required to cash collateralize these LOCs. The secured letters of credit totaling $1,853,722 were outstanding on December 31, 2012, and remain in place to secure obligations under various insurance policies. The letters of credit expire on varying dates between November of 2013 and April of 2014. The cash 31859-4 6

Document Page 7 of 11 collateral put in place for the letters of credit was $1,853,722, and the cash is in an account with M & T Bank. 13. In addition, the Debtors were formerly sponsors of the KidsPeace Defined Benefit Pension Plan (the "Pension Plan"), which is an ERISA-qualified defined benefit pension plan, guaranteed by the Pension Benefit Guaranty Corporation (the PBGC ). The Debtors have not made any contributions to the Pension Plan since September 2011, benefits under the Pension Plan were "frozen" as of January 1, 2009, and the PBGC alleges that the Pension Plan is underfunded by approximately $100,000,000. In addition, KidsPeace did not make its annual Pension Plan contributions of approximately $3 million in the fiscal year ending on December 31, 2011. Changes in federal law significantly increased the Debtors required annual contributions to the Pension Plan, in amounts that the Debtors could no longer afford to pay. Therefore, the Debtors Board of Directors made the decision to stop making annual contributions and pursue the Pension Plan s termination with the PBGC. On March 27, 2012, the PBGC filed a U.S. Treasury lien against KidsPeace for approximately $2.9 million, representing the missed contributions through the end of 2011 and then another lien reserve of $4,175,029 in December, 2012 (collectively, the PBGC Liens ). The PBGC Liens encumber substantially all of the Debtors assets with various priorities. On January 10, 2013, the Debtors, the PBGC, the Bond Trustee and Gemino entered into a PBGC Subordination and Intercreditor Agreement (the PBGC Subordination Agreement ), in which the PBGC agreed to subordinate the PBGC liens to Gemino s liens under the Credit Agreement and the Bond Trustee s liens under the Indenture, other than in respect of Orchard Hills campus real property. 14. The PBGC terminated the Pension Plan as of March 31, 2012 and became Trustee of the Pension Plan effective April 30, 2013, as provided in the Agreement for Appointment of Trustee and Termination of Plan between the Debtors and the PBGC dated April 30, 2013. 31859-4 7

Document Page 8 of 11 15. On January 11, 2013, UMB, as the Bond Trustee, the Majority Bondholders and the Debtors, excepting for KP Georgia, entered into a resolution, memorialized in a Term Sheet, Forbearance Agreement and Plan Support Agreement (the Majority Bondholders Resolution ). Pursuant to the Majority Bondholders Resolution, the Bond Trustee and the Majority Bondholders have agreed to support a plan of reorganization proposed by the Debtors that restructures their debt in a reduced amount on terms set forth in the Term Sheet and Plan Support Agreement. 16. Although the Debtors were generally current with their trade creditors in the time period leading up to the Petition Date, the Debtors estimate that they owe trade creditors the approximate amount of $2 million. 17. Notwithstanding the past and present financial restructuring initiatives, including the filing of the Cases, the Debtors have maintained exemplary patient care. The Debtors have maintained more than sufficient cash and working capital to satisfy day-to-day operations and expenses and anticipate that they will continue to do so, especially with the anticipated debtor-in-possession financing. The remaining restructuring efforts of the Debtors relate primarily to future debt structure associated with the Bonds and the PBGC. 18. Additional information regarding the Debtors and the Corporation, and the background to the Debtors' bankruptcy filing, is set forth in the Declaration of William R. Isemann in Support of First Day Motions for Relief filed substantially contemporaneously herewith and incorporated herein. 31859-4 8

Document Page 9 of 11 RELIEF REQUESTED 19. By this Motion, the Debtors seek entry of an order scheduling an expedited hearing on the following matters (collectively the "Critical First Day Motions"): a. Motion of the Debtors for an Order Directing Joint Administration of Their Related Cases; b. Motion of the Debtors for an Order Establishing Certain Notice, Case Management and Administrative Procedures; c. Motion of the Debtors for Entry of an Order Extending the Time to File Schedules of Assets and Liabilities, Schedules of Current Income and Expenditures, Schedules of Executory Contracts and Unexpired Leases and Statements of Financial Affairs; d. Motion of the Debtors for Entry of an Order (A) Authorizing the Debtors to (I) Continue Cash Management System, (II) Maintain Existing Bank Accounts and Business Forms and (III) Maintain Existing Investment Practices; and (B) Granting Post-petition Intercompany Claims Administrative Expense Priority; e. Motion of the Debtors for an Order (A) Authorizing the Debtors to Pay Certain Prepetition (I) Wages, Salaries, and Other Compensation, (II) Reimbursable Employee Expenses, and (III) Employee Medical and Similar Benefits; (B) Confirming that the Debtors May Continue Prepetition Employee Programs in the Ordinary Course of Business; and (C) Directing Banks and Other Financial Institutions to Honor All Related Checks and Electronic Payment Requests; f. Motion of the Debtors for an Order (I) Authorizing the Debtors to Pay Prepetition Foster Care Stipends and (II) Directing Banks and Other Financial Institutions to Honor All Related Checks and Electronic Payment Requests; g. Motion of the Debtors for an Order (I) Authorizing the Debtors to Pay Prepetition Independent Contractor Obligations and (II) Directing Banks and Other Financial Institutions to Honor All Related Checks and Electronic Payment Requests h. Motion of the Debtors for Entry of Interim and Final Orders Determining Adequate Assurance of Payment for Future Utility Services; i. Motion of the Debtors Pursuant to Sections 105(a), and 503 of the Bankruptcy Code and Bankruptcy Rules 3002 and 3003, for an Order 31859-4 9

Document Page 10 of 11 Establishing Procedures for the Assertion of Section 503(b)(9) Claims Relating to Goods Received by the Debtors Within Twenty Days Before the Petition Date; and j. Motion of the Debtors for Entry of Interim and Final Orders, Pursuant to Bankruptcy Code Sections 105(a), 361, 362, 363 and 364, (I) Authorizing Debtors to Obtain Post-Petition Financing, (II) Authorizing the Use of Pre-Petition Collateral, (III) Granting Adequate Protection, (IV) Stipulating to the Validity, Enforceability and Non-Avoidability of Certain Pre-Petition Liens and (V) Scheduling a Final Hearing. 20. Given the nature of the Debtors' businesses, the Debtors respectfully request that the Court schedule a hearing on the Critical First Day Motions on or before May 23, 2013. BASIS FOR RELIEF 21. Each of the Critical First Day Motions relates to a time-critical aspect of the Debtors' businesses which will result in irreparable harm to the Debtors, their estates, and others if the relief requested therein is not granted on an expedited basis, or a related matter necessary for the efficient administration of these chapter 11 cases. 22. As of the Petition Date, the Debtors employ approximately 1951 employees, of whom approximately 1485 are full-time employees (the "Full-Time Employees") and approximately 466 are part-time or temporary employees (the "Part-Time Employees" and, together with the Full-Time Employees, the "Employees"). Approximately 1416 Employees are paid on an hourly basis and approximately 531 Employees are salaried. 23. If the Debtors cannot obtain the relief requested in the Critical First Day Motions in a timely fashion, they will be unable to pay their employees or obtain necessary supplies and services, and likely will be unable to continue operations, irreparably harming their patients, creditors and other parties in interest. 24. Maintaining the Debtors' business as a going concern is vital to preserving the value of the Debtors' estates for creditors and other parties in interest and the relief requested in 31859-4 10

Document Page 11 of 11 the Critical First Day Motions is necessary to do so. It is therefore imperative that the Court hear the Critical First Day Motions as soon as possible. CONSULTATION AND NOTICE 25. In accordance with Local Rule 5070-1 the Debtors have and/or shall consult with counsel to UMB Bank, indenture trustee for the Lehigh County General Purpose Authority Revenue Bonds, Series of 1998 and Series 1999; Manufacturers and Traders Trust Co., Trustee for the 2003 Series A and Series B Georgia Bonds; Gemino Healthcare Finance; the Pension Benefit Guaranty Corporation and Healthcare Finance Group, LLC regarding the request for expedited relief and have provided copies of the Critical First Day Motions to the United States Trustee for the Eastern District of Pennsylvania prior to filing such Motions with the Court. 26. The Debtors have provided notice of this Motion to the parties identified in each of the Critical First Day Motions. In light of the nature of relief requested, the Debtors respectfully submit that no further notice is necessary. WHEREFORE, the Debtors respectfully request the entry of an Order, substantially in the form attached hereto: (i) scheduling a hearing on the Critical First Day Motions at the earliest possible hearing date consistent with Local Rule 1002-2; and (ii) granting such other and further relief as is just and proper. NORRIS, McLAUGHLIN & MARCUS, PA The Paragon Centre 1611 Pond Road, Suite 300 Allentown, PA 18104 mbauer@nmmlaw.com Proposed counsel to the Debtors and Debtors-In- Possession Dated: May 21, 2013 By:/s/ Morris S. Bauer Morris S. Bauer, Esq. 31859-4 11

Case 13-14508-ref Doc 14-1 Filed 05/21/13 Entered 05/21/13 15:57:10 Desc Proposed Order Scheduling Expedited Hearings on the Debtors Critical First Day M Page 1 of 3 IN THE UNITED STATES BANKRUPTCY COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA KidsPeace Corporation, KidsPeace Children s Hospital, Inc., KidsPeace Mesabi Academy, Inc.,, Inc., of Georgia, Inc., of New England, Inc.,

Case 13-14508-ref Doc 14-1 Filed 05/21/13 Entered 05/21/13 15:57:10 Desc Proposed Order Scheduling Expedited Hearings on the Debtors Critical First Day M Page 2 of 3 of North America, Inc., Iron Range School, Inc., of New York, Inc., ORDER SETTING EXPEDITED HEARING TO CONSIDER CRITICAL FIRST DAY MOTIONS AND NOW, this day of May, 2013, the Movants having requested expedited consideration of their Critical First Day Motions as set forth in the Motion for Entry of an Order Scheduling Expedited Hearings on the Debtors Critical First Day Motions (the Motions ), IT IS HEREBY ORDERED that an expedited hearing on the Movants Critical First Day Motions shall be held at: United States Bankruptcy Court E.D. Pa Courtroom Number 1 Third Floor, The Madison Building 400 Washington Street Reading, Pennsylvania on, 2013, at :.m. prevailing time. IT IS HEREBY FURTHER ORDERED that any party opposing the Motions shall file an 31857-3 2

Case 13-14508-ref Doc 14-1 Filed 05/21/13 Entered 05/21/13 15:57:10 Desc Proposed Order Scheduling Expedited Hearings on the Debtors Critical First Day M Page 3 of 3 answer or response at or before the time and date set for hearing set above and that any party opposing the Motions shall appear at the hearing on the Motions or they may be granted without further notice. IT IS HEREBY FURTHER ORDERED that Movants counsel shall immediately both (1.) notify by telephone and (2.) serve copies of this signed Order and the Motions on the following parties by email, facsimile or overnight mail: Counsel for the United States Trustee, all secured creditors with liens on Movants property (by serving their counsel if known), all other parties affected by the Motion (by serving their counsel if known), and all other interested parties. BY THE COURT: RICHARD E. FEHLING UNITED STATES BANKRUPTCY JUDGE 31857-3 3

Case 13-14508-ref Doc 14-2 Filed 05/21/13 Entered 05/21/13 15:57:10 Desc Statement for Qualification as a Complex Case Page 1 of 3 IN THE UNITED STATES BANKRUPTCY COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA KidsPeace Corporation, 1 KidsPeace Children s Hospital, Inc., KidsPeace Mesabi Academy, Inc.,, Inc., of Georgia, Inc., 1 The Debtors and the last four digits of their respective taxpayer identification numbers are as follows: KidsPeace Corporation (3394); KidsPeace Children s Hospital, Inc. (4910); KidsPeace Mesabi Academy, Inc. (4179);, Inc. (4908); of Georgia, Inc. (7440); of New England, Inc. (1326); of North America, Inc. (4765); Iron Range School, Inc. (0561); and of New York, Inc. (1888). The Debtors address is 5300 KidsPeace Drive, Orefield, Pennsylvania 18069.

Case 13-14508-ref Doc 14-2 Filed 05/21/13 Entered 05/21/13 15:57:10 Desc Statement for Qualification as a Complex Case Page 2 of 3 of New England, Inc., of North America, Inc., Iron Range School, Inc., of New York, Inc., STATEMENT OF QUALIFICATION AS A COMPLEX CHAPTER 11 CASE These chapter 11 cases were filed on May 21, 2013. The undersigned attorney for the debtors believes that the cases qualify under Local Bankruptcy Rule 1002-2 as complex chapter 11 cases because each of the debtors total debt exceeds the minimum requirement under Local Bankruptcy Rule 1002-2 of total debt in the amount of $10 million, and the debtors debt securities are publicly traded the debtor s equity securities are publicly traded, and/or X there are 100 or more parties in interest in the case. 34572-1 2

Case 13-14508-ref Doc 14-2 Filed 05/21/13 Entered 05/21/13 15:57:10 Desc Statement for Qualification as a Complex Case Page 3 of 3 NORRIS, McLAUGHLIN & MARCUS, PA The Paragon Center 1611 Pond Road, Suite 300 Allentown, PA 18104 mbauer@nmmlaw.com Proposed counsel to the Debtors and Debtors-In- Possession Dated: May 21, 2013 By:/s/ Morris S. Bauer Morris S. Bauer, Esq. 34572-1 3