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Full title: Final Application for Compensation / Fourth Interim and Final Application of Hunton Andrews Kurth LLP, Special Counsel for Debtors and Debtors-In-Possession, for Allowance of Interim Compensation and Reimbursement of Expenses for the period to Filed by Hunton Andrews Kurth LLP. Objections due by 7/12/2021. (Attachments: # 1 Exhibit A # 2 Exhibit B # 3 Exhibit C) (Brown, Stuart) (Entered: 06/21/2021)

Document posted on Jun 20, 2021 in the bankruptcy, 18 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

Brooksville, LLC (2210); CT Transportation, LLC (0997); CTL Distribution, Inc. (7383); CTL Distribution Logistics, LLC (7506); CTL Transportation, LLC (0782); CTTS Leasing, LLC (7466); Detsco Terminals, Inc. (9958); Driver Services, Inc. (3846); East Broadway Tampa, LLC (2233); East Columbus Drive Tampa, LLC (3995); Fleet Maintenance Services, LLC (1410); MCT Transportation, LLC (0939); Midwest Coast Logistics, LLC (7411); Midwest Coast Transport, Inc. (0045); New Kings Road Jacksonville, LLC (4797); Old Winter Haven Road Auburndale, LLC (4738); W. Airport Blvd. 2 As explained in the Declaration of Jane Hinton in Support of the Application of the Debtors for an Order Authorizing the Debtors to Employ Hunton Andrews Kurth LLP as Special Counsel for Real Estate and Related Matters Effective Nunc Pro Tunc as of the Petition Date (D.I. 133-2), Hunton agreed to discount its rates charged to the Debtors for legal services regarding real estate and related matters (a) by 10% up to $15,000 in total fees incurred in any such matter, (b) by 15% for total fees incurred between $15,001 and $35,000 in any such matter, (c) by 20% for total fees incurred between $35,001 and $100,000 in any such matter, and (d) by 15% for total fees incurred over $100,000 in any such matter.As explained in the Declaration of Jane Hinton in Support of the Application of the Debtors for an Order Authorizing the Debtors to Employ Hunton Andrews Kurth LLP as Special Counsel for Real Estate and Related Matters Effective Nunc Pro Tunc as of the Petition Date (D.I. 133-2), Hunton agreed to discount its rates charged to the Debtors for legal services regarding real estate and related matters (a) by 10% up to $15,000 in total fees incurred in any such matter, (b) by 15% for total fees incurred between $15,001 and $35,000 in any such matter, (c) by 20% for total fees incurred between $35,001 and $100,000 in any such matter, and (d) by 15% for total fees incurred over $100,000 in any such matter.FOURTH INTERIM AND FINAL APPLICATION OF HUNTON ANDREWS KURTH LLP, SPECIAL COUNSEL FOR DEBTORS AND DEBTORS-IN-POSSESSION, FOR ALLOWANCE OF INTERIM COMPENSATION AND REIMBURSEMENT OF EXPENSES Hunton Andrews Kurth LLP (“Hunton”), special counsel for the debtors and debtors-in-possession in the above-captioned cases (collectively, the “Debtors”), submits this application (the “Application”) for (i) allowance of interim compensation for professional services rendered by Hunton to the Debtors for the period February 1, 2021, through April 30, 2021 (the “Fourth Application Period”), and reimbursement of actual and necessary expenses incurred by Hunton during the Fourth Application Period, and (ii) final allowance of compensation for professional services provided by Hunton to the Debtors for the period May 17, 2020, through April 30, 2021 (the “Final Application Period”), and for reimbursement of actual and necessary expenses 1Debtors to Employ Hunton Andrews Kurth LLP as

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE ) Chapter 11 In re: ) ) Case No. 20-11120 (LSS) COMCAR INDUSTRIES, INC., et al.1 ) ) (Jointly Administered) Debtors. ) ) Objection Deadline: July 12, 2021 at 4:00 p.m. (EDT) ) SUMMARY OF FOURTH INTERIM AND FINAL APPLICATION OF HUNTON ANDREWS KURTH LLP, SPECIAL COUNSEL FOR DEBTORS AND DEBTORS-IN-POSSESSION Basic Information Name of Applicant: Hunton Andrews KurthLLP Name of Client: Debtors and Debtors-in-Possession Petition Date: May 17, 2020 Retention Date: June 17, 2020 nunc pro tuncto May 17, 2020 Date of Order Approving Employment: June 17, 2020 Fourth Interim Application Time Period Covered: February1, 2021to April 30, 2021 Total Hours Billed: 18.4 Total Fees Requested: $11,988.602 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification number, are: 9th Place Newberry, LLC (0359); 16th Street Pompano Beach, LLC (0278); CCC Spotting, LLC (0342); CCC Transportation, LLC (1058); Charlotte Avenue Auburndale, LLC (2179); Coastal Transport, Inc. (2918); Coastal Transport Logistics, LLC (7544); Comcar Industries, Inc. (8221); Comcar Logistics, LLC (2338); Comcar Properties, Inc. (9545); Commercial Carrier Corporation (8582); Commercial Carrier Logistics, LLC (7544); Commercial Truck and Trailer Sales Inc. (0722); Cortez Blvd. Brooksville, LLC (2210); CT Transportation, LLC (0997); CTL Distribution, Inc. (7383); CTL Distribution Logistics, LLC (7506); CTL Transportation, LLC (0782); CTTS Leasing, LLC (7466); Detsco Terminals, Inc. (9958); Driver Services, Inc. (3846); East Broadway Tampa, LLC (2233); East Columbus Drive Tampa, LLC (3995); Fleet Maintenance Services, LLC (1410); MCT Transportation, LLC (0939); Midwest Coast Logistics, LLC (7411); Midwest Coast Transport, Inc. (0045); New Kings Road Jacksonville, LLC (4797); Old Winter Haven Road Auburndale, LLC (4738); W. Airport Blvd. Sanford, LLC (0462); Willis Shaw Logistics, LLC (7341); WSE Transportation, LLC. The corporate headquarters and the mailing address for the Debtors listed above is 8800 Baymeadows Way West, Suite 200, Jacksonville, Florida 32256. 2 This amount reflects an agreed reduction of post-petition fees in the amount of $27.40.

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Total Expenses Requested: $0.00 Fees Requested Over Budget: None Blended Rate: $651.55/hour Rate Increases Not Previously None Approved/Disclosed: Total Professionals: 4 Total Professionals Not in Staffing Plan: 0 Total Professionals Billing Less Than 15 4 Hours: Final Application: Time Period Covered: May 17, 2020to April 30, 2021 Total Hours Billed: 208.1 Total Fees Requested: $126,327.433 Total Expenses Requested: $22.50 Fees Requested Over Budget: $0.00 Blended Rate: $607.05/hour Rate Increases Not Previously None Approved/Disclosed: Total Professionals: 8 Total Professionals Not in Staffing Plan: 0 Total Professionals Billing Less Than 15 4 Hours: Historical Fees Approved to Date by Interim Order: $84,067.74 Expenses Approved to Date by Interim Order: $0.00 Allowed Fees Paid to Date: $84,067.74 Allowed Expenses Paid to Date: $0.00 Fees Paid Pursuant to Monthly Fee $0.00 Applications, Not Yet Allowed: Expenses Paid Pursuant to Fee Applications, $0.00 Not Yet Allowed: This is a monthly X interim __X___ final application 3 This amount reflects an agreed reduction of post-petition fees in the amount of $11,114.07.

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PROFESSIONALS RENDERING SERVICES Fourth Application Period (February 1, 2021 to April 30, 2021)
Table 1 on page 3. Back to List of Tables
Name of Professional Position of the Applicant/ Area of
Expertise/First Bar Admission Date
Hourly
Rate
Total
Billed
Hours
Jane Hinton Partner / Capital Finance & Real
Estate / 20101
$795.00 5.3
Henry P. Long, III Associate / Bankruptcy / 2007 $655.00 11.0
Ryan W. Nolan Staff Attorney / Capital Finance &
Real Estate / 2013
$575.00 0.1
Tina L. Canada Paralegal / Bankruptcy $270.00 2.0
Current Fees: 18.4
Less Agreed Discounts, with respect to:2 None
Crystal Rivers Acquisition and Sale for period February 1, 2021
through February 28, 2021 (rising to a 20% discount level)
None
Total Agreed Discount: None
Total: None 18.4
Blended Rate: $651.55 1 Ms. Hinton was first admitted in the United States, in 2010, to the Bar of the State of California. She previously was admitted to the roll as a solicitor of the Senior Courts (previously the Supreme Court) of England and Wales in 2001. 2 As explained in the Declaration of Jane Hinton in Support of the Application of the Debtors for an Order Authorizing the Debtors to Employ Hunton Andrews Kurth LLP as Special Counsel for Real Estate and Related Matters Effective Nunc Pro Tunc as of the Petition Date (D.I. 133-2), Hunton agreed to discount its rates charged to the Debtors for legal services regarding real estate and related matters (a) by 10% up to $15,000 in total fees incurred in any such matter, (b) by 15% for total fees incurred between $15,001 and $35,000 in any such matter, (c) by 20% for total fees incurred between $35,001 and $100,000 in any such matter, and (d) by 15% for total fees incurred over $100,000 in any such matter. The discount does not apply to litigation matters, including work required to be performed in connection with retention and fee applications in connection with these bankruptcy cases.

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Final Application Period (May 17, 2020 to April 30, 2021)
Table 1 on page 4. Back to List of Tables
Name of Professional Position of the Applicant/ Area of
Expertise/First Bar Admission Date
Hourly
Rate
Total
Billed
Hours
Jane Hinton Partner / Capital Finance & Real
Estate / 20103
$795.00 82.9
Ian S. Tattenbaum Senior Attorney/Capital Finance &
Real Estate/ 1997
$800.00 2.5
Gil O. Acevedo Associate/Capital Finance & Real
Estate / 2003
$515.00 2.1
Henry P. Long, III Associate / Bankruptcy / 2007 $655.00 52.0
Ryan W. Nolan Staff Attorney / Capital Finance &
Real Estate / 2013
$575.00 42.8
Shane A. Wilson Associate/Capital Finance & Real
Estate / 2019
$460.00 15.0
Tina L. Canada Paralegal / Bankruptcy $270.00 8.7
Stephanie L. Huerta Paralegal/Capital Finance & Real
Estate
$255.00 2.1
Current Fees: 208.1
Less Agreed Discounts, with respect to:4 None
Advice on Sales and Purchase of Real Estate for Period August 1,
2020 through August 31, 2020 (10% discount level)
None
Advice on Sales and Purchase of Real Estate for Period October 1,
2020 through October 31, 2020 (initially at the 10% discount, and
rising to a 15% discount level)
None
Grange Road Sale (10% discount level) None
3 Ms. Hinton was first admitted in the United States, in 2010, to the Bar of the State of California. She previously was admitted to the roll as a solicitor of the Senior Courts (previously the Supreme Court) of England and Wales in 2001. 4 As explained in the Declaration of Jane Hinton in Support of the Application of the Debtors for an Order Authorizing the Debtors to Employ Hunton Andrews Kurth LLP as Special Counsel for Real Estate and Related Matters Effective Nunc Pro Tunc as of the Petition Date (D.I. 133-2), Hunton agreed to discount its rates charged to the Debtors for legal services regarding real estate and related matters (a) by 10% up to $15,000 in total fees incurred in any such matter, (b) by 15% for total fees incurred between $15,001 and $35,000 in any such matter, (c) by 20% for total fees incurred between $35,001 and $100,000 in any such matter, and (d) by 15% for total fees incurred over $100,000 in any such matter. The discount does not apply to litigation matters, including work required to be performed in connection with retention and fee applications in connection with these bankruptcy cases.

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Table 1 on page 5. Back to List of Tables
Position of the Applicant/ Area of
Name of Professional Expertise/First Bar Admission Date
Hourly
Rate
Total
Billed
Hours
Sale of Auburndale for Period May 17, 2020 through May 31,
2020 (10% discount level)
Sale of Auburndale for Period June 1, 2020 through July 31, 2020
(initially at the 10% discount, and rising to a 15% discount level)
Elm Spring Sale (10% discount level)
Crystal Rivers Acquisition and Sale for Period May 17, 2020
through July 31, 2020 (10% discount level)
Crystal Rivers Acquisition and Sale for Period August 1, 2020
through December 31, 2020 (initially at 10% discount level, and
rising to a 15% discount level)
Crystal Rivers Acquisition and Sale for Period January 1, 2021
through February 28, 2021 (initially at 10% discount level, and
rising to a 20% discount level)
PIMCO Loan Modification (20% discount level)
Total Agreed Discount:
Total: 208.1
Blended Rate: $607.05

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COMPENSATION BY PROJECT CATEGORY Fourth Application Period (February 1, 2021 to April 30, 2021)
Table 1 on page 6. Back to List of Tables
Matter Code Description Total Hours Total Fees
B160 Fee/Employment Applications 16.9 $10,929.50
B257 Crystal Rivers Acquisition and Sale
 Less Agreed Discount for Period February
1, 2021 through February 28, 2021 (20%
discount level)
0.2 $137.00
($27.40)
B320 Plan and Disclosure Statement 1.3 $949.50
TOTAL 18.4 $11,988.60

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Final Application Period (May 17, 2020 to April 30, 2021)
Table 1 on page 7. Back to List of Tables
Matter Code Description Total Hours Total Fees
B160 Fee/Employment Applications 85.3 $56,184.00
B190 Litigation 2.6 $1,815.00
B251 Advice on Sales and Purchase of Real Estate
 Less Agreed Discount for Period August 1,
2020 through August 31, 2020 (10%
discount level)
 Less Agreed Discount for Period October 1,
2020 through October 31, 2020 (15%
discount level)
7.9 $6,280.50
($477.00)
($226.58)
B252 Grange Road Sale
 Less Agreed Discount (10% discount level)
0.1 $79.50
($7.95)
B254 Sale of Auburndale
 Less Agreed Discount for Period May 17,
2020 through May 31, 2020 (10% discount
level)
 Less Agreed Discount for Period June 1,
2020 through July 31, 2020 (15% discount
level)
37.8 $24,664.00
($406.45)
($2,843.18)
B255 Elm Springs Sale
 Less Agreed Discount (10% discount level)
0.7 $556.50
($55.65)
B257 Crystal Rivers Acquisition and Sale
 Less Agreed Discount (10% discount level)
 Less Agreed Discount for Period August 1,
2020 through December 31, 2020 (15%
discount level)
 Less Agreed Discount for Period January 1,
2021 through February 28, 2021 (20%
discount level)
67.8 $44,059.50
($15.90)
($4,480.86)
($2,014.00)
B261 PIMCO Loan Modification
 Less Agreed Discount (20% discount level)
4.6 $2,853.00
($586.50)
B320 Plan and Disclosure Statement 1.3 $949.50
TOTAL 208.1 $126,327.43

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EXPENSE SUMMARY Fourth Application Period (February 1, 2021 to April 30, 2021) Expense Category Service Provider (if Unit Cost (if Total applicable) applicable) Expenses N/A $0.00 Total Expenses $0.00 Final Application Period (May 17, 2020 to April 30, 2021) Expense Category Service Provider (if Unit Cost (if Total applicable) applicable) Expenses Court Fees (Telephonic Appearance at Hearing on Interim Fee Application) $22.50 Total Expenses $22.50

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE ) Chapter 11 In re: ) ) Case No. 20-11120 (LSS) COMCAR INDUSTRIES, INC., et al.1 ) ) (Jointly Administered) Debtors. ) ) Objection Deadline: July 12, 2021 at 4:00 p.m. (EDT) ) FOURTH INTERIM AND FINAL APPLICATION OF HUNTON ANDREWS KURTH LLP, SPECIAL COUNSEL FOR DEBTORS AND DEBTORS-IN-POSSESSION, FOR ALLOWANCE OF INTERIM COMPENSATION AND REIMBURSEMENT OF EXPENSES Hunton Andrews Kurth LLP (“Hunton”), special counsel for the debtors and debtors-in-possession in the above-captioned cases (collectively, the “Debtors”), submits this application (the “Application”) for (i) allowance of interim compensation for professional services rendered by Hunton to the Debtors for the period February 1, 2021, through April 30, 2021 (the “Fourth Application Period”), and reimbursement of actual and necessary expenses incurred by Hunton during the Fourth Application Period, and (ii) final allowance of compensation for professional services provided by Hunton to the Debtors for the period May 17, 2020, through April 30, 2021 (the “Final Application Period”), and for reimbursement of actual and necessary expenses 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification number, are: 9th Place Newberry, LLC (0359); 16th Street Pompano Beach, LLC (0278); CCC Spotting, LLC (0342); CCC Transportation, LLC (1058); Charlotte Avenue Auburndale, LLC (2179); Coastal Transport, Inc. (2918); Coastal Transport Logistics, LLC (7544); Comcar Industries, Inc. (8221); Comcar Logistics, LLC (2338); Comcar Properties, Inc. (9545); Commercial Carrier Corporation (8582); Commercial Carrier Logistics, LLC (7544); Commercial Truck and Trailer Sales Inc. (0722); Cortez Blvd. Brooksville, LLC (2210); CT Transportation, LLC (0997); CTL Distribution, Inc. (7383); CTL Distribution Logistics, LLC (7506); CTL Transportation, LLC (0782); CTTS Leasing, LLC (7466); Detsco Terminals, Inc. (9958); Driver Services, Inc. (3846); East Broadway Tampa, LLC (2233); East Columbus Drive Tampa, LLC (3995); Fleet Maintenance Services, LLC (1410); MCT Transportation, LLC (0939); Midwest Coast Logistics, LLC (7411); Midwest Coast Transport, Inc. (0045); New Kings Road Jacksonville, LLC (4797); Old Winter Haven Road Auburndale, LLC (4738); W. Airport Blvd. Sanford, LLC (0462); Willis Shaw Logistics, LLC (7341); WSE Transportation, LLC. The corporate headquarters and the mailing address for the Debtors listed above is 8800 Baymeadows Way West, Suite 200, Jacksonville, Florida 32256.

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incurred by Hunton during the Final Application Period under sections 330 and 331 of title 11 of the United States Code (the “Bankruptcy Code”), Rule 2016 of the Federal Rules of Bankruptcy Procedure (the “Bankruptcy Rules”), Rule 2016-2 of the Local Rules of Bankruptcy Practice and Procedure for the United States Bankruptcy Court of the District of Delaware (the “Local Rules”) and the Administrative Order Establishing Procedures for Interim Compensation and Reimbursement of Expenses of Professionals [D.I. 213] (the “Interim Compensation Procedures Order”). In support of this Application, Hunton represents as follows: I. JURISDICTION, VENUE AND PREDICATES FOR RELIEF 1. This Court has jurisdiction over this Application pursuant to 28 U.S.C. §§ 157 and 1334, and the Amended Standing Order of Reference from the United States District Court for the District of Delaware dated as of February 29, 2012. This is a core proceeding within the meaning of 28 U.S.C. § 157(b)(2). Venue in this district is proper pursuant to 28 U.S.C. §§ 1408 and 1409. 2. The predicates for the relief requested herein are sections 330 and 331 of the Bankruptcy Code, Bankruptcy Rule 2016, and Local Rule 2016-2. II. BACKGROUND 3. On May 17, 2020 (the “Petition Date”), each Debtor filed with the Court its voluntary petition for relief under Chapter 11 of the Bankruptcy Code, commencing collectively the above-captioned chapter 11 cases. 4. On May 19, 2020, the Court entered an order authorizing joint administration of these chapter 11 cases [D.I. 60]. 5. On June 17, 2020, the Court entered the Order Authorizing the Debtors to Employ Hunton Andrews Kurth LLP as Special Counsel For Real Estate and Related Matters Effective

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Nunc Pro Tunc as of the Petition Date [D.I. 209], authorizing the Debtors to employ and retain Hunton as their special counsel for real estate and related matters. 6. On June 17, 2020, the Court also entered the Interim Compensation Procedures Order, which approved the compensation procedures contained within the Interim Compensation Procedures Order (the “Compensation Procedures”). 7. Pursuant to the Compensation Procedures, professionals retained in these cases are authorized to file monthly fee applications. Provided that no objection to a monthly fee application is timely filed, the Debtors are authorized to pay such professional an amount equal to eighty percent (80%) of the fees and one-hundred percent (100%) of the expenses requested in such monthly fee application. 8. In addition, pursuant to the Compensation Procedures, beginning with the period from the Petition Date through and including July 31, 2020, and at three-month intervals thereafter, professionals retained in these cases are authorized to file interim fee applications with the Court. Below is a summary of the interim fee applications previously filed by Hunton in these cases (the “Interim Fee Applications”): Date of Order Period Total Requested Total Allowed Date Filed Objection Approving Covered Fees/Expenses Fees/ Expenses Pa Deadline Application ay 17, 2020 Aug. 20, Sept. 9, 2020 Oct. 14, 2020 Fees: $47,018.60 Fees: $47,018.60 uly 31, 2020 [D.I. 811] Expenses: $0.00 Expenses: $0.00 20 [D.I. 574] g. 1, 2020 Dec. 1, Dec. 22, 2020 Feb. 8, 2021 Fees: $37,049.14 Fees: $37,049.14 ct. 31, 2020 [D.I. [D.I. 1155] Expenses: $0.00 Expenses: $0.00 20 964] v. 1, 2020 Mar. 9, Mar. 29, 2021 N/A2 Fees: $30,271.09 Fees: $0.00 2 No objections were made to the Interim Fee Application covering the period from November 1, 2020 to January 31, 2021 (the “Third Application Period”) by the March 29th objection deadline. Given confirmation of the Plan on March 11th and to save the estate resources, Hunton (Continued . . . )

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Date of Order Period Total Requested Total Allowed Date Filed Objection Approving Covered Fees/Expenses Fees/ Expenses Pa Deadline Application an. 31, 2021 [D.I. Expenses: $22.50 Expenses: $0.00 21 1262] 9. On March 11, 2021, this Court entered its Order confirming the Amended Combined Disclosure Statement and Chapter 11 Plan of Liquidation [D.I. 1101] (as may be further amended, modified, or supplemented from time to time, the “Plan”). The Plan became effective on April 30, 2021. 10. A full description of the Debtors’ business operations, corporate structures, capital structures, and reasons for commencing these cases is set forth in full in the Declaration of Andrew Hinkelman in Support of Filing of Petitions and First Day Pleadings [D.I. 22]. Additional facts in support of the specific relief sought herein are set forth below. III. RELIEF REQUESTED 11. Hunton submits this Application (a) for allowance of reasonable compensation for the actual, reasonable and necessary professional services that it has rendered as special counsel to the Debtors in these cases for the Fourth Application Period in the amount of $11,988.60,3 (b) for reimbursement of actual, reasonable and necessary expenses incurred in representing the Debtors during the Fourth Application Period in the amount of $0.00, (c) for final allowance of reasonable compensation for the actual, reasonable and necessary professional services that it has rendered as counsel for the Debtors in these cases for the Final Application Period in the amount ( . . . continued.) agreed to simply seek final approval of the fees and expenses sought for the Third Application Period in connection with this Application rather than setting a separate hearing for interim approval. 3 This amount reflects an agreed reduction of post-petition fees in the amount of $27.40.

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of $126,327.43,4 and (d) for final reimbursement of actual, reasonable and necessary expenses incurred in representing the Debtors during the Final Application Period in the amount of $22.50. 12. The Application is supported by the following Exhibits, which are attached hereto and patterned on the Guidelines for Reviewing Applications for Compensation and Reimbursement of Expenses Filed under 11 U.S.C. § 330 by Attorneys in Larger Chapter 11 Cases (the “Appendix B Guidelines”): (i) Exhibit A contains a disclosure of “customary and comparable compensation” charged by Hunton’s professionals and paraprofessionals during the Fourth Application Period and the Final Application Period. As requested in ¶ C.3 of the Appendix B Guidelines, Exhibit A provides a summary of the blended hourly rates of the timekeepers (segregated by rank) included in this Application compared to the blended hourly rates for similar non-bankruptcy domestic timekeepers at Hunton. (ii) Exhibit B contains the budget and staffing plans for Hunton for these chapter 11 cases during the Fourth Application Period and Final Application Period. IV. BASIS FOR RELIEF REQUESTED 13. During the Fourth Application Period, Hunton provided services advising and representing the Debtors in connection with real estate and related matters in these Chapter 11 cases. The full breadth of Hunton’s services during the Fourth Application Period are reflected in the detailed time records that are contained in (i) the Monthly Fee Applications filed with this Court for February and March 2021 (defined below) and (ii) Exhibit C attached hereto for April 2021. 14. As set forth in each of the Interim Fee Applications previously filed by Hunton in these cases, Hunton also provided numerous services to the Debtors throughout these Chapter 11 cases advising and representing the Debtors in connection with real estate and related matters. 4 This amount reflects an agreed reduction of post-petition fees in the amount of $11,114.07.

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15. In performing the services detailed in this Application, Hunton has endeavored to ensure that its professionals comply with the applicable provisions of the Bankruptcy Code, the Bankruptcy Rules, the Local Rules, and any other applicable procedures or orders of the Court. 16. Pursuant to the terms of the Interim Compensation Procedures Order, Hunton prepared, and as identified below filed and served certain, monthly fee applications (collectively, the “Monthly Fee Applications”) during the Fourth Application Period as follows: CNO Amount Period Filing Amount of Covered by Total Date Date of Fees Expenses Monthly Total Fees Expenses Filed Objection and Received Received Statement Requested Requested and D.I. Deadline D.I. (80%) (100%) Feb. 1, 2021 – $6,347.105 $0.00 Mar. 29, Apr. 18, Apr. 28, $0.00 $0.00Feb. 28, 2021 2021 2021 2021 [D.I. [D.I. 1300] 1338] Mar. 1, 2021 $4,275.50 $0.00 Apr. 29, May. 20, N/A6 $0.00 $0.00– Mar. 31, 2021 2021 2021 [D.I. 1343] Apr. 1, 2021 $1,366.00 $0.00 N/A N/A N/A $0.00 $0.00 – Apr. 30, 2021 17. Given the small amount of the fees incurred by Hunton in April 2021 and to save the estate resources, Hunton agreed to seek such fees through this Application rather than file and serve the Monthly Fee Application for such fees. A detailed chronological itemization of the services rendered by each Hunton professional and paraprofessional from April 1, 2021 through April 30, 2021, calculated by tenths of an hour and categorized in accordance with the appropriate project code, is annexed hereto as Exhibit C. 5 This amount reflects an agreed reduction of post-petition fees in the amount of $27.40. 6 No objections were filed to the Monthly Fee Application for March 2021.

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18. In accordance with the Interim Compensation Procedures Order, and as set forth in Local Rule 2106-2, each Monthly Fee Application filed with this court included (i) a detailed itemization of the service hours expended by matter and professional and (ii) a summary schedule of hours and fees categorized by project code. Each Monthly Fee Application also included a detailed chronological itemization of the services rendered by each professional and paraprofessional, calculated by tenths of an hour and categorized in accordance with the appropriate project code. Hunton has reduced its request for compensation for non-working travel, if any, to 50% of the normal hourly rate for such professionals. Hunton incorporates by reference its Monthly Fee Applications as if all were attached hereto in full and made apart hereof. A copy of the Monthly Fee Applications is available upon request. 19. Hunton has endeavored to represent the Debtors in the most expeditious and economical manner possible. Tasks have been assigned to attorneys and paralegals at Hunton so that the work has been performed by those most familiar with the particular matter or task and, where attorney involvement was required, by the lowest hourly rate professional appropriate for a particular matter. Moreover, Hunton has endeavored to coordinate with the other professionals involved in this case so as to minimize any duplication of effort and to minimize attorneys’ fees and expenses to the Debtors. Hunton believes it has been successful in this regard. 20. No agreement or understanding exists between Hunton and any other person for the sharing of compensation received or to be received for services rendered in or in connection with this case. 21. The undersigned has reviewed the requirements of Local Rule 2016-2 and certifies to the best of his information, knowledge and belief that this Application complies with that Rule.

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V. STATEMENT PURSUANT TO APPENDIX B GUIDELINES 22. The following is provided in response to the questions set forth in ¶ C.5 of the Appendix B Guidelines:7 Question: Did you agree to any variations from, or alternatives to, your standard or customary billing rates, fees or terms for services pertaining to this engagement that were provided during the application period? If so, please explain. Response: As explained in the Declaration of Jane Hinton in Support of the Application of the Debtors for an Order Authorizing the Debtors to Employ Hunton Andrews Kurth LLP as Special Counsel for Real Estate and Related Matters Effective Nunc Pro Tunc as of the Petition Date (D.I. 133-2), Hunton agreed to discount its rates charged to the Debtors for legal services regarding real estate and related matters (a) by 10% up to $15,000 in total fees incurred in any such matter, (b) by 15% for total fees incurred between $15,001 and $35,000 in any such matter, (c) by 20% for total fees incurred between $35,001 and $100,000 in any such matter, and (d) by 15% for total fees incurred over $100,000 in any such matter. The discount does not apply to litigation matters, including work required to be performed in connection with retention and fee applications in connection with these bankruptcy cases. Question: If the fees sought in this fee application as compared to the fees budgeted for the time period covered by this fee application are higher by 10% or more, did you discuss the reasons for the variation with the client? Response: Not applicable. Question: Have any of the professionals included in this fee application varied their hourly rate based on the geographic location of the bankruptcy case? Response: No. Question: Does this fee application include time or fees related to reviewing the time records or preparing, reviewing, or revising invoices? (This is limited to work involved in preparing and editing billing records that would not be compensable outside of bankruptcy and does not include reasonable fees for preparing a fee application.). If so, please quantify by hours and fees. 7 Hunton provided responses to the questions set forth in ¶ C.5 of the Appendix B Guidelines in each of the Interim Fee Applications previously filed by Hunton in these cases for every other interim fee period covered in this Application.

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Response: This Application includes approximately $1,768.50 in fees (2.7 hours) relating to preparing, reviewing, or revising invoices for Monthly Fee Applications during the Fourth Application Period. These fees are reflected in Task Code 160 time entries. Hunton submits that all such fees are reasonable and necessary for preparing the Monthly Fee Applications. Question: Does this fee application include time or fees for reviewing time records to redact any privileged or other confidential information? If so, please quantify by hours and fees. Response: As set forth above, this Application includes approximately $1,768.50 in fees (2.7 hours) relating to preparing, reviewing, or revising invoices for Monthly Fee Applications during the Fourth Application Period. In the course of such efforts, Hunton reviewed and edited various entries to avoid publicly disclosing any privileged or confidential information. Hunton submits that such review and edits are a reasonable and necessary part of Hunton’s preparation of the Monthly Fee Applications. Question: If the fee application includes any rate increases since retention: (i) Did your client review and approve those rate increases in advance? (ii) Did your client agree when retaining the law firm to accept all future rate increases? If not, did you inform your client that they need not agree to modified rates or terms in order to have you continue the representation, consistent with ABA Formal Ethics Opinion 11-458? Response: Not applicable. [REMAINDER OF PAGE INTENTIONALLY LEFT BLANK]

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WHEREFORE, Hunton respectfully requests that this Court enter an Order, substantially in the form attached hereto (i) approving this Application, (ii) providing that Hunton be allowed on for the Fourth Application Period in the amount of $11,988.60, (iii) allowing for reimbursement of actual, reasonable and necessary expenses incurred by Hunton in during the Fourth Application Period in the amount of $0.00, (iv) allowing for final allowance of reasonable compensation for the actual, reasonable and necessary professional services that Hunton rendered to the Debtors in these cases for the Final Application Period in the amount of $126,327.43, (v) allowing for final reimbursement of actual, reasonable and necessary expenses incurred by Hunton during the Final Application Period in the amount of $22.50, and (vi) for such other relief as the Court deems proper and just. Dated: June 21, 2021 Richmond, Virginia /s/ Henry P. (Toby) Long, III HUNTON ANDREWS KURTH LLP Henry P. (Toby) Long, III Riverfront Plaza, East Tower 951 East Byrd Street Richmond, Virginia 23219 Telephone: (804) 788-8200 E-mail: hlong@huntonak.com -and- HUNTON ANDREWS KURTH LLP Jane Hinton 550 South Hope Street, Suite 2000 Los Angeles, California 90071 Telephone: (213) 532-2195 E-mail: jhinton@huntonak.com Special Counsel to the Debtors

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