Case CSS Doc 21 Filed 06/06/18 Page 1 of 5 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

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Case 18-11333-CSS Doc 21 Filed 06/06/18 Page 1 of 5 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE Sancilio Pharmaceuticals Company, Inc., 1 Case No. 18-11333 (CSS) Sancilio & Company, Inc., Case No. 18-11334 (CSS) Blue Palm Advertising Agency, LLC, Case No. 18-11335 (CSS) NOTICE OF AGENDA OF MATTERS SCHEDULED FOR HEARING ON JUNE 7, 2018 AT 12:00 P.M 2 Location: Before the Honorable Christopher S. Sontchi, 5th Floor, Courtroom No. 6 VOLUNTARY CHAPTER 11 PETITIONS 1. Voluntary Petitions filed on June 5, 2018: a. Sancilio Pharmaceuticals Company, Inc.; Case No. 18-11333 b. Sancilio & Company, Inc.; Case No. 18-11334 c. Blue Palm Advertising Agency, LLC, Case No. 18-11335 1 The Debtors in these Cases, along with the business addresses and the last four (4) digits of each Debtor s federal tax identification number, if applicable, are: Sancilio Pharmaceuticals Company, Inc., 2129 N. Congress Avenue, Riviera Beach, FL 33404 (3353); Sancilio & Company, Inc., 2129 N. Congress Avenue, Riviera Beach, FL 33404 (7166); Blue Palm Advertising Agency, LLC, 2129 N. Congress Avenue, Riviera Beach, FL 33404 (n/a). 2 Parties who are unable to attend the hearing in person may request telephonic participation in accordance with the Instructions for Telephonic Appearances (see www.deb.uscourts.gov) by contacting CourtCall at 1-866-582-6878 and providing written notice to Debtors counsel.

Case 18-11333-CSS Doc 21 Filed 06/06/18 Page 2 of 5 FIRST DAY DECLARATION 2. Declaration of Geoffrey Glass in Support of the Debtors Petitions and Requests for First Day Relief [Docket No. 14, Filed June 5, 2018] FIRST DAY MOTIONS 3. Motion of the Debtors for Entry of an Order Authorizing and Directing the Joint Administration of the Debtors' Cases for Procedural Purposes Only [Docket No. 2, Filed June 5, 2018] 4. Motion of the Debtors for Entry of an Order Authorizing the Debtors to File (I) A Consolidated Master List of Creditors and (II) A Consolidated List of the Debtors' Twenty Largest General Unsecured Creditors [Docket No. 3, Filed June 5, 2018] 5. Motion of the Debtors for Entry of Interim and Final Orders (I) Authorizing the Maintenance of Bank Accounts and Continued Use of Existing Business Forms and Checks, (II) Authorizing the Continued Use of Existing Cash Management System, (III) Waiving Certain Investment and Deposit Guidelines, and (IV) Granting Related Relief [Docket No. 4, Filed June 5, 2018] 6. Motion of the Debtors for Entry of Interim and Final Orders (A) Authorizing the Debtors to Pay (I) All Prepetition Employee Obligations and (II) Prepetition Withholding Obligations, and (B) Directing Banks to Honor Related Transfers [Docket No. 5, Filed June 5, 2018] 2

Case 18-11333-CSS Doc 21 Filed 06/06/18 Page 3 of 5 7. Motion of the Debtors for Entry of Interim and Final Orders (A) Authorizing the Debtors to Pay Certain Prepetition Claims of Critical Vendors; (B) Authorizing Banks to Honor and Process Related Checks and Electronic Transfers; and (C) Granting Related Relief [Docket No. 6, Filed June 5, 2018] 8. Motion of the Debtors for Entry of an Order Authorizing the Debtors to Pay Certain Prepetition Claims of Materialmen in the Ordinary Course of Business [Docket No. 7, Filed June 5, 2018] 9. Motion of the Debtors for Entry of an Order Authorizing the Debtors to Honor Certain Prepetition Obligations to Customers and to Otherwise Continue Certain Prepetition Customer Practices in the Ordinary Course of Business [Docket No. 8, Filed June 5, 2018] 10. Motion of the Debtors for Entry of an Order Authorizing (I) the Debtors to Pay Prepetition Property and Franchise Taxes and Regulatory Fees in the Ordinary Course of Business and (II) Banks and Financial Institutions to Honor and Process Checks and Transfers Related Thereto [Docket No. 9, Filed June 5, 2018] 11. Motion of the Debtors for Entry of Interim and Final Orders (I) Prohibiting Utility Providers From Altering, Refusing or Discontinuing Service, (II) Deeming Utility Providers Adequately Assured of Future Performance and (III) Establishing Procedures for Determining Adequate Assurance of Payment [Docket No. 10, Filed June 5, 2018] 3

Case 18-11333-CSS Doc 21 Filed 06/06/18 Page 4 of 5 12. Motion of the Debtors for Entry of Interim and Final Orders Authorizing the Debtors to (A) Maintain Existing Insurance Policies, Pay All Policy Premiums Arising Thereunder and Renew or Enter Into New Policies, and (B) Continue Insurance Premium Financing Program, Pay Insurance Premium Financing Obligations Arising in Connection Therewith and Renew or Enter Into New Premium Financing Arrangements [Docket No. 11, Filed June 5, 2018] 13. Motion of the Debtors for Entry of an Order (A) Establishing Procedures for Asserting, Resolving, and Satisfying Reclamation Claims; and (B) Granting Related Relief [Docket No. 12, Filed June 5, 2018] 14. Application of the Debtors for Entry of an Order Authorizing Debtors to Employ and Retain JND Corporate Restructuring as Claims and Noticing Agent Nunc Pro Tunc to the Petition Date Pursuant to 28 U.S.C. 156(c), 11 U.S.C. 105(a) and Local Rule 2002-1(f) [Docket No. 13, Filed June 5, 2018] 15. Motion of the Debtors for Entry of Interim and Final Orders (I) Approving Debtor-in- Possession Financing Pursuant to 11 U.S.C. 105(a), 362, and 364 and Fed. R. Bankr. P. 2002, 4001 and 9014 and Local Bankruptcy Rule 4001-2; (II) Authorizing Use of Cash Collateral Pursuant to 11 U.S.C. 105, 361, 362 and 363 of the Bankruptcy Code; (III) Granting Adequate Protection and Super-Priority Administrative Claims; (IV) Scheduling a Final Hearing; and (V) Granting Related Relief [Docket No. 15, Filed June 5, 2018] 4

Case 18-11333-CSS Doc 21 Filed 06/06/18 Page 5 of 5 Dated: June 6, 2018 GREENBERG TRAURIG, LLP /s/ Dennis A. Meloro Dennis A. Meloro (DE Bar No. 4435) The Nemours Building 1007 North Orange Street, Suite 1200 Wilmington, Delaware 19801 Telephone: (302) 661-7000 Facsimile: (302) 661-7360 Email: melorod@gtlaw.com -and- Paul J. Keenan Jr. (pro hac vice pending) John R. Dodd (pro hac vice pending) Greenberg Traurig, P.A. 333 S.E. 2 nd Avenue, Suite 4400 Miami, FL 33131 Telephone: (305) 579-0500 Facsimile: (305) 579-0717 Email: keenanp@gtlaw.com doddj@gtlaw.com -and- Sara A. Hoffman (pro hac vice pending) Greenberg Traurig, LLP The MetLife Building 200 Park Avenue New York, NY 10166 Telephone: (212) 801-9200 Facsimile: (212) 801-6400 Email: hoffmans@gtlaw.com Proposed Counsel for the Debtors and Debtors-in-Possession 5