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Pomerantz LLP and Levi & Korsinsky, LLP Announce Proposed Class Action Settlement on Behalf of Purchasers of Fortress Value Acquisition Corp. II ("FVAC") or ATI Physical Therapy, Inc. Common Stock or Certain Holders of FVAC Common Stock

/EIN News/ -- CHICAGO, IL, July 05, 2024 (GLOBE NEWSWIRE) -- Pomerantz LLP and Levi & Korsinsky, LLP announce that the United States District Court for the Northern District of Illinois Eastern Division has approved the following announcement of a proposed class action settlement that would benefit purchasers of Fortress Value Acquisition Corp. II ("FVAC") or ATI Physical Therapy, Inc. common stock and certain holders of FVAC common stock (NYSE: FAII and NYSE: ATIP):

UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF ILLINOIS
EASTERN DIVISION

KEVIN BURBIGE and ZIYANG NIE, Individually and on Behalf of All Others Similarly Situated,

Plaintiffs,
Case No. 1:21-CV-04349

SUMMARY NOTICE OF (I) PENDENCY OF CLASS ACTIONS, CERTIFICATION OF SETTLEMENT CLASS, AND PROPOSED SETTLEMENT; (II) SETTLEMENT FAIRNESS HEARING; AND (III) MOTION FOR AN AWARD OF ATTORNEYS’ FEES AND REIMBURSEMENT OF LITIGATION EXPENSES
v.

ATI PHYSICAL THERAPY, INC. f/k/a FORTRESS VALUE ACQUISITION CORP. II, LABEED DIAB, JOSEPH JORDAN, ANDREW A. MCKNIGHT, JOSHUA A. PACK, MARC FURSTEIN, LESLEE COWEN, AARON F. HOOD, CARMEN A. POLICY, RAKEFET RUSSAK-AMINOACH, and SUNIL GULATI,


Defendants

UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF ILLINOIS
EASTERN DIVISION


In re ATI Physical Therapy, Inc. Shareholder Derivative Litigation

Case No. 1:21-CV-06415

IN THE COURT OF CHANCERY OF THE STATE OF DELAWARE

WENDELL ROBINSON,
Plaintiff,

v.

FORTRESS ACQUISITION SPONSOR II, LLC, ANDREW A. MCKNIGHT, JOSHUA A. PACK, MARC FURSTEIN, LESLEE COWEN, AARON F. HOOD, CARMEN A. POLICY, RAKEFET RUSSAK-AMINOACH, SUNIL GULATI, DANIEL N. BASS, MICAH B. KAPLAN, and LABEED DIAB,
Defendants.


Case No. 2023-0142-NAC

IN THE COURT OF CHANCERY OF THE STATE OF DELAWARE

PHILLIP GOLDSTEIN,
Plaintiff,

v.

FORTRESS ACQUISITION SPONSOR II, LLC, LABEED DIAB, JOSEPH JORDAN, CEDRIC COCO, RAY WAHL, JOHN L. LARSEN, JOHN MALDONADO, CARMINE PETRONE, JOANNE M. BURNS, CHRISTOPHER KRUBERT, JAMES E. PARISI, JOSHUA A. PACK, ANDREW A. MCKNIGHT, MARC FURSTEIN, AARON F. HOOD, CARMEN A. POLICY, SUNIL GULATI, LESLEE COWEN, RAKEFET RUSSAK-AMINOACH, DANIEL BASS, and MICAH KAPLAN,
Defendants,

and

ATI PHYSICAL THERAPY, INC.,
Nominal Defendant.


Case No. 2023-0582-NAC







TO:         All persons and entities who: (a) purchased or otherwise acquired ATI Physical Therapy, Inc. (“ATI”) common stock or Fortress Value Acquisition Corp. II (“FVAC”) common stock (collectively, “ATI Securities”) between February 22, 2021 and October 19, 2021, both dates inclusive, and/or beneficially owned and/or held shares of FVAC Class A common stock as of May 24, 2021 and were eligible to vote at FVAC’s June 15, 2021 special meeting to vote on the Business Combination; and/or (b) beneficially owned and/or held FVAC Class A common stock as of the June 11, 2021 Redemption Date and were entitled to, but did not elect to, redeem your shares (the “Settlement Class”).

PLEASE READ THIS NOTICE CAREFULLY, AS YOUR RIGHTS WILL BE AFFECTED BY A CLASS ACTION LAWSUIT PENDING IN THIS COURT.

YOU ARE HEREBY NOTIFIED, pursuant to Rule 23 of the Federal Rules of Civil Procedure and an Order of the United States District Court for the Northern District of Illinois, that the action styled Burbige, et al. v. ATI Physical Therapy, Inc. f/k/a Fortress Value Acquisition Corp. II, et al., No. 1:21-cv-04349 (the “Securities Action”) and the action styled In re ATI Physical Therapy, Inc. Shareholder Derivative Litigation, No. 1:21-cv-06415 (the “Ghaith Action”) have been certified as class actions, for settlement purposes only, on behalf of the Settlement Class, except for certain persons and entities who are excluded from the Settlement Class by definition as set forth in the full printed Notice of (I) Pendency of Class Actions, Certification of Settlement Class, and Proposed Settlement; (II) Settlement Fairness Hearing; and (III) Motion for an Award of Attorneys’ Fees and Reimbursement of Litigation Expenses (the “Notice”).

YOU ARE ALSO NOTIFIED that Plaintiffs in the above-captioned actions (collectively, the “Actions”) have reached a proposed settlement of the putative class (direct) claims in the Actions for $24,900,000 (the “Settlement”) that, if approved, will resolve all putative class (direct) claims in the Actions.

A hearing will be held on September 24, 2024 at 12:15 p.m., before the Honorable Edmond E. Chang at the United States District Court for the Northern District of Illinois, Everett McKinley Dirksen United States Courthouse, 219 South Dearborn Street, Chicago, IL 60604, in Courtroom 2341, to determine: (i) whether the proposed Settlement should be approved as fair, reasonable, and adequate; (ii) whether the Securities Action should be dismissed with prejudice against the Securities Defendants, the putative class (direct) claims in the Ghaith Action should be dismissed with prejudice against the defendants in the Ghaith Action, and the Releases specified and described in the Stipulation and Agreement of Settlement dated May 13, 2024 (and in the Notice) should be granted; (iii) whether the proposed Plan of Allocation should be approved as fair and reasonable; and (iv) whether Plaintiffs’ Counsel’s applications for awards of attorneys’ fees and reimbursement of expenses and Plaintiffs’ reimbursement for their time and expenses should be approved. The Court reserves the right to hold the Settlement Hearing telephonically or by other virtual means.

If you are a member of the Settlement Class, your rights will be affected by the pending Actions and the Settlement, and you may be entitled to share in the Settlement Fund. If you have not yet received the Notice and Proof of Claim and Release form (“Claim Form”), you may obtain copies of these documents by contacting the Claims Administrator at info@strategicclaims.net. Copies of the Notice and Claim Form can also be downloaded from the website maintained by the Claims Administrator, www.strategicclaims.net/ati.

If you are a member of the Settlement Class, in order to be eligible to receive a payment under the proposed Settlement, you must submit a Claim Form to the Claims Administrator postmarked no later than October 18, 2024, or submitted electronically by 11:59 p.m. Eastern time on October 18, 2024. If you are a Settlement Class Member and do not submit a proper Claim Form, you will not be eligible to share in the distribution of the net proceeds of the Settlement, but you will nevertheless be bound by any judgments or orders entered by the Court in the Actions.

If you are a member of the Settlement Class and wish to exclude yourself from the Settlement Class, you must submit a request for exclusion such that it is received no later than September 3, 2024 by the Claims Administrator, in accordance with the instructions set forth in the Notice. If you properly exclude yourself from the Settlement Class, you will not be bound by any judgments or orders entered by the Court in the Actions and you will not be eligible to share in the proceeds of the Settlement.

Any objections to the proposed Settlement, the proposed Plan of Allocation, or Plaintiffs’ Counsel’s motions for attorneys’ fees and reimbursement of expenses and reimbursement to Plaintiffs, must be filed with the Clerk of the Court and delivered to Plaintiffs’ Counsel and Defendants’ Counsel at the addresses specified below in accordance with the instructions set forth in the Notice, such that they are received no later than September 3, 2024:

Clerk’s Office
United States District Court for the Northern District of Illinois
Clerk of the Court
Dirksen U.S. Courthouse
219 S. Dearborn Street
Chicago, IL 60604

Lead Counsel
Pomerantz LLP
Jeremy A. Lieberman
600 Third Avenue, 20th Floor
New York, NY 10016



Additional Plaintiffs’ Counsel
Levi & Korsinsky, LLP
Donald J. Enright
1101 Vermont Ave., NW Suite 700
Washington, DC 20005





Defendants’ Counsel
Weil, Gotshal & Manges LLP
John A. Neuwirth & Joshua S. Amsel
767 Fifth Avenue
New York, NY 10153
(Counsel for the ATI Defendants)



Skadden, Arps, Slate, Meagher & Flom LLP
Charles F. Smith
320 S. Canal Street
Chicago, IL 60606
(Counsel for the FVAC Defendants)

Please do not contact the Court, the Clerk’s office, Defendants, or Defendants’ counsel regarding this notice. All questions about this notice, the proposed Settlement, or your eligibility to participate in the Settlement should be directed to Plaintiffs’ Counsel or the Claims Administrator.

Inquiries, other than requests for the Notice and Claim Form, should be made to Plaintiffs’ Counsel:

POMERANTZ LLP
Jeremy Lieberman, Esq.
600 Third Ave., 20th Floor
New York, NY 10016
Telephone: 212-661-1100
jalieberman@pomlaw.com

Levi & Korsinsky, LLP
Donald J. Enright, Esq.
1101 Vermont Ave., NW
Suite 700
Washington, DC 20005
Telephone: 202-524-4290
denright@zlk.com

Requests for the Notice and Claim Form should be made to:

ATI Class Actions Settlement
c/o Strategic Claims Services
P.O. Box 230
600 N. Jackson Street, Suite 205
Media, PA 19063
Toll-Free: (866) 274-4004
Facsimile: (610) 565-7985
info@strategicclaims.net
www.strategicclaims.net/ati

By Order of the Court