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Full title: Final Application for Compensation and Reimbursement of Expenses (Fourth and Final) for the period February 1, 2021 to April 30, 2021 (and final approval for the Period from June 2, 2020 through April 30, 2021) (related document(s)1268, 1331, 1356) Filed by Fox Rothschild LLP. Objections due by 7/20/2021. (Attachments: # 1 Exhibit A through E # 2 Exhibit F # 3 Exhibit G # 4 Notice) (Niederman, Seth) (Entered: 06/29/2021)

Document posted on Jun 28, 2021 in the bankruptcy, 12 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

This is an: Monthly Interim x Final Fee Application 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.AND REIMBURSEMENT OF EXPENSES AS COUNSEL TO THE OFFICIAL COMMITTEE OF UNSECURED CREDITORS FOR THE PERIOD FEBRUARY 1, 2021 THROUGH APRIL 30, 2021 Fox Rothschild LLP (“Fox Rothschild”), as counsel to the Official Committee of Unsecured Creditors (the “Committee”) of the above-captioned debtors and debtors-in-possession (the “Debtors”), submits its Fourth and Final Fee Application (the “Final Application”), pursuant to sections 327, 330(a), 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 of the United States Bankruptcy Court for the District of Delaware (the “Local Rules”), and this Court’s Administrative Order Establishing Procedures for Compensation and Reimbursement of Expenses of Professionals, entered June 17, 2020 (the “Interim 3 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 Termin

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE ) In re: ) Chapter 11 ) COMCAR INDUSTRIES, INC., et al.,1 ) Case No. 20-11120-LSS ) Debtors. ) Related to D.I. Nos. 1268, 1331 and 1356 ) ) Objections due: July 20, 2021 at 4:00 p.m. ) Hearing: TBD NOTICE OF FOURTH AND FINAL FEE APPLICATION REQUEST Name of Applicant Fox Rothschild LLP Authorized to Provide Professional Official Committee of Unsecured Services to: Creditors Date of Retention: June 2, 2020 Period for which Compensation and February 1, 2021 through April 30, 2021 Reimbursement is Sought for the Fourth Interim Period: Amount of Compensation Sought as $63,404.50 Actual, Reasonable, and Necessary for the Fourth Interim Period: Amount of Expense Reimbursement $3,433.08 Sought as Actual, Reasonable, and Necessary for the Fourth Interim Period: This is an: Monthly Interim x Final Fee Application 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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Period for which Compensation and June 2, 2020 through April 30, 2021 Reimbursement is Sought for the Final Application Period: Amount of Compensation Sought as $1,306,973.00 Actual, Reasonable, and Necessary for the Final Application Period: Amount of Expense Reimbursement $37,546.96 Sought as Actual, Reasonable, and Necessary for the Final Application Period: Summary of Monthly Fee Applications for the Interim Period
Table 1 on page 2. Back to List of Tables
Requested None None None Approved None
Date Filed Period
Covered
Fees Expenses Fees Expenses
3/1/21 2/1/21-
2/28/21
$33,564.00 $67.50 $26,851.20 $67.50
4/21/21 3/1/21-
3/1/21
$22,382.50 $157.00 $17,906.00 $157.00
5/24/21 4/1/21-
4/30/21
$7,458.00 $3,208.58 $5,966.40 $3,208.58
Totals $63,404.50 $3,433.08 $50,723.60 $3,433.08
Period for which Compensation and June 2, 2020 through April 30, 2021 Reimbursement is Sought for the Final Application Period: Amount of Compensation Sought as $1,306,973.00 Actual, Reasonable, and Necessary for the Final Application Period: Amount of Expense Reimbursement $37,546.96 Sought as Actual, Reasonable, and Necessary for the Final Application Period: Summary of Monthly Fee Applications for the Interim Period Summary of Objections to Monthly Fee Applications:
Table 2 on page 2. Back to List of Tables
Date of Fee
Application
Date of Objection Total Fees Subject
to Objection
Total Expenses
Subject to
Expenses
3/1/21 None None None
4/21/21 None None None
5/24/21 None None None
PLEASE TAKE NOTICE that, pursuant to the Administrative Order Establishing Procedures for Compensation and Reimbursement of Expenses of Professionals, entered June 17, 2020 (the “Interim Compensation Order”)2 [D.I. 213], objections, if any, to the Interim Fee 2 Capitalized terms used herein but not capitalized shall have the meaning(s) ascribed to them in the Interim Compensation Order.

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Application Request must be filed with the Court and served, so as to be received by July 20, 2021, on the Applicant at the address set forth below and on the following parties: (i) the Debtors, 8800 Baymeadows Way West, Suite 200, Jacksonville, FL 32256; (ii) counsel for the Debtors (a) DLA Piper LLP (US), 1201 North Market Street, Suite 2100, Wilmington, DE 19801 Attn: Stuart M. Brown (stuart.brown@us.dlapiper.com) and 1251 Avenue of the Americas, New York, NY 10020 Attn: Jamila Justine Willis (Jamila.willis@us.dlapiper.com); (iii) Office of the United States Trustee, District of Delaware, 844 N. King Street, Suite 2207, Lockbox 35, Wilmington, DE 19801 Attn: David L. Buchbinder (david.l.buchbinder@usdoj.gov); (iv) Counsel to the DIP Lender and Prepetition Term Loan Lender, Lathan & Watkins LLP, 330 N. Wabash Avenue, Suite 2800, Chicago, IL 60611 Attn: James Ktsanes (james.ktsanes@lw.com), Latham & Watkins LLP, 855 Third Avenue, New York, NY 10022 Attn: Brett M. Neve (brett.neve@lw.com) and Young Conaway Stargett & Taylor, LLP, Rodney Square, 1000 North King Street, Wilmington, DE 19801 Attn: Andrew Magaziner (amagaziner@ycst.com); (v) Counsel to the Prepetition ABL Agent, Greenberg Traurig, LLP, 2200 Ross Avenue, Suite 5200, Dallas, TX 75201 Attn: Nan B. Braley (braleyn@gtlaw.com) and 1007 North Orange Street, Suite 1200, Wilmington, DE 19801 Attn: Dennis A. Meloro (melorod@gtlaw.com); and (vi) Counsel to the DIP Agent and Prepetition Term Loan Agent, Seward & Kissel, LLP, One Battery Park Plaza, New York, NY 10004 Attn: Gregg Bateman (bateman@sewkis.com) and Y. Daphne Coehlo-Adam (Coelho-adam@sewkis.com). PLEASE TAKE FURTHER NOTICE that if no timely objections are filed to this Final Fee Application Request, the Court may enter an order granting the Final Application without a hearing.

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Dated: June 29, 2021 FOX ROTHSCHILD LLP /s/ Seth A. Niederman Seth A. Niederman (DE No. 4588) 919 North Market Street, Suite 300 Wilmington, DE 19899-2323 Telephone: (302) 654-7444 Facsimile: (302) 656-8920 -and- Michael A. Sweet 345 California Street, Suite 2200 San Francisco, California 94104 Telephone: (415) 364-5540 Facsimile: (415) 391-4436 -and- Gordon E. Gouveia 321 North Clark Street, Suite 1600 Chicago, IL 60654 Telephone: (312) 980-3816 Facsimile: (312) 517-9201 Counsel to the Official Committee of Unsecured Creditors

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE ) In re: ) Chapter 11 ) COMCAR INDUSTRIES, INC., et al.,3 ) Case No. 20-11120-LSS ) Debtors. ) Related to D.I. Nos. 1268, 1331 and 1356 ) ) Objections due: July 20, 2021 at 4:00 p.m. ) Hearing: TBD FOURTH AND FINAL APPLICATION OF FOX ROTHSCHILD LLP FOR COMPENSATION FOR SERVICES RENDERED AND REIMBURSEMENT OF EXPENSES AS COUNSEL TO THE OFFICIAL COMMITTEE OF UNSECURED CREDITORS FOR THE PERIOD FEBRUARY 1, 2021 THROUGH APRIL 30, 2021 Fox Rothschild LLP (“Fox Rothschild”), as counsel to the Official Committee of Unsecured Creditors (the “Committee”) of the above-captioned debtors and debtors-in-possession (the “Debtors”), submits its Fourth and Final Fee Application (the “Final Application”), pursuant to sections 327, 330(a), 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 of the United States Bankruptcy Court for the District of Delaware (the “Local Rules”), and this Court’s Administrative Order Establishing Procedures for Compensation and Reimbursement of Expenses of Professionals, entered June 17, 2020 (the “Interim 3 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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Compensation Order”)4 [D.I. 213] for (i) the allowance of interim compensation for professional services performed by Fox Rothschild for the fourth and final application period from February 1, 2021 through April 30, 2021 (the “Fourth Compensation Period”) in the amount of $63,404.50 (the “Fourth Compensation Amount”), and (ii) reimbursement of its actual and necessary expenses in the amount of $3,433.08 (the “Fourth Expense Amount”) incurred during the Fourth Compensation Period. Further, Fox Rothschild seeks final approval and allowance of compensation for professional services performed by Fox Rothschild for the period from June 2, 2020 through April 30, 2021 (the “Final Compensation Period”) in the amount of $1,306,973.00 (the “Final Compensation Amount”), and reimbursement of its actual and necessary expenses in the amount of $37,546.96 (the “Final Expense Amount”) incurred during the Final Compensation Period. In support of this Final Application, Fox Rothschild respectfully represents: JURISDICTION 1. This Court has jurisdiction over this Application under 28 U.S.C. § 157(b)(2). 2. Venue in this district is proper under 28 U.S.C. §§ 1408 and 1409. BACKGROUND 3. On May 17, 2020, the above-captioned debtors (the “Debtors”) filed a voluntary petition for relief under chapter 11 of the Bankruptcy Code in the United States Bankruptcy Court for the District of Delaware (the “Court”). No trustee has been appointed, and the Debtors continue to operate their businesses and manage their properties as debtors in possession pursuant to Bankruptcy Code sections 1107(a) and 1108. 4 Capitalized terms used herein but not capitalized shall have the meaning(s) ascribed to them in the Interim Compensation Order.

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1. On May 28, 2018, the Office of the United States Trustee for the District of Delaware appointed the following three members to the Committee: (i) Navistar Leasing Company; (ii) Resources Global Professionals; and (iii) Express Container Services, LLC. 2. On June 2, 2020 (the “Retention Date”), the Committee selected Fox as its counsel. 3. By this Court’s Order Granting Application of the Official Committee of Unsecured Creditors Pursuant to 11 U.S.C. Section 1103(a) and Bankruptcy Rule 2014(a) for Authority to Employ and Retain Fox Rothschild LLP as Counsel Effective as of May 28, 2020, entered on June 21, 2020, the Committee was authorized to retain Fox Rothschild as their attorneys effective nunc pro tunc to May 28, 2020 (the “Retention Order”) [D.I. 444].5 The Retention Order authorizes the Debtors to compensate Fox Rothschild in accordance with the procedures set forth in sections 330 and 331 of the Bankruptcy Code, the Bankruptcy Rules, the Local Rules, and such other procedures as were to be fixed by order of the Court. The Interim Compensation Order established such procedures. 4. This Final Application meets the requirements set forth in the Interim Compensation Order and Appendix B – Guidelines for Reviewing Applications for Compensation and Reimbursement of Expenses Filed Under 11 U.S.C. §330 for Attorneys in Larger Chapter 11 Cases (the “Guidelines”). In support of the Application, Applicant states: 5 The nunc pro tunc date in the proposed order was an oversight and should have been June 2, 2020, the date of Fox Rothschild’s retention by the Committee.

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Statement from the Applicant 5. Pursuant to the Appendix B Guidelines for Reviewing Application for Compensation and Reimbursement of Expenses Filed Under United States Code by Attorneys in Larger Chapter 11 Cases, the Applicant responds to the following questions regarding the Final Application:
Table 1 on page 8. Back to List of Tables
Question Yes No Additional
Explanation or
Clarification
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.
No
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?
No
Have any of the professionals included in
this fee application varied their hourly rate
based on the geographic location of the
bankruptcy case?
No
Does the fee application include time or
fees related to reviewing or revising time
records or preparing, reviewing, or revising
invoices?
No
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.
No
If the fee application includes any rate
increases since retention in this case:
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?
Yes Client agreed when
retaining the law
firm to accept future
rate increases.
Retention
application
disclosed that Fox’s
rates generally
increase on June 1st

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of each calendar year. SUMMARY OF APPLICATION FOR THE COMPENSATION PERIOD 6. By this Final Application, and in accordance with the Interim Compensation Order, Fox Rothschild requests approval of the Fourth Compensation Amount and the Fourth Expense Amount for the Fourth Compensation Period. Fox Rothschild also seeks approval of the Final Compensation Amount and the Final Expense Amount for the Final Compensation Period. 7. During the Fourth Compensation Period, Fox Rothschild performed the services for which it is seeking compensation from the Debtors and their estates. Fox Rothschild received no payment and no promises of payment from any source for services rendered, or to be rendered, in any capacity whatsoever in connection with matters covered by this Final Application. There is no agreement or understanding between Fox Rothschild and any other person, other than members of the firm, for sharing of compensation received for services rendered in these cases. 8. Fox Rothschild’s monthly fee applications during the Compensation Period have been filed and served in accordance with the Interim Compensation Order. 9. In accordance with the Guidelines, the following exhibits are annexed to this Final Application: Exhibit A: Customary and Comparable Compensation Disclosures With Fee Applications Exhibit B: Summary of Timekeepers Included in this Fee Application Exhibit C-1: Budget Exhibit C-2: Staffing Plan Exhibit D-1: Summary of Compensation Requested by Project Category Exhibit D-2: Summary of Expense Reimbursements Requested by Category Exhibit E: Summary Cover Sheet of Fee Application Exhibit F: Time Entries for Final Compensation Period Exhibit G: Certification of Seth Niederman

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RELIEF REQUESTED 10. By this Final Application, Fox Rothschild requests that the Court approve payment of one-hundred percent (100%) of the fees and expenses incurred by Fox Rothschild during the Fourth Compensation Period. 11. All services for which compensation is requested by Fox Rothschild were performed on behalf of the Committee. Fox Rothschild’s services have been necessary and beneficial to the Committee and other parties in interest. 12. In accordance with the factors enumerated in Bankruptcy Code section 330, Fox Rothschild respectfully submits that the amount requested by Fox Rothschild is fair and reasonable given (a) the complexity of the cases, (b) the time expended, (c) the nature and extent of the services rendered, (d) the value of such services, and (e) the costs of comparable services other than in a case under the Bankruptcy Code. Moreover, Fox Rothschild has reviewed the requirements of Local Rule 2016-2 and the Interim Compensation Order and believes that this Final Application complies with such Rule and order. To the extent that this Final Application fails to comply with Local Rule 2016-2 in any respect, Fox Rothschild submits that such non-compliance is non-material, and respectfully requests that such non-compliance be waived. NOTICE 13. This Final Application and Notice thereof will be served upon: (i) the Debtors, 8800 Baymeadows Way West, Suite 200, Jacksonville, FL 32256; (ii) counsel for the Debtors (a) DLA Piper LLP (US), 1201 North Market Street, Suite 2100, Wilmington, DE 19801 Attn: Stuart M. Brown (stuart.brown@us.dlapiper.com) and 1251 Avenue of

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the Americas, New York, NY 10020 Attn: Jamila Justine Willis (Jamila.willis@us.dlapiper.com); (iii) Office of the United States Trustee, District of Delaware, 844 N. King Street, Suite 2207, Lockbox 35, Wilmington, DE 19801 Attn: David L. Buchbinder (david.l.buchbinder@usdoj.gov); (iv) Counsel to the DIP Lender and Prepetition Term Loan Lender, Lathan & Watkins LLP, 330 N. Wabash Avenue, Suite 2800, Chicago, IL 60611 Attn: James Ktsanes (james.ktsanes@lw.com), Latham & Watkins LLP, 855 Fifth Avenue, New York, NY 10022 Attn: Brett M. Neve (brett.neve@lw.com) and Young Conaway Stargett & Taylor, LLP, Rodney Square, 1000 North King Street, Wilmington, DE 19801 Attn: Andrew Magaziner (amagaziner@ycst.com); (v) Counsel to the Prepetition ABL Agent, Greenberg Traurig, LLP, 2200 Ross Avenue, Suite 5200, Dallas, TX 75201 Attn: Nan B. Braley (braleyn@gtlaw.com) and 1007 North Orange Street, Suite 1200, Wilmington, DE 19801 Attn: Dennis A. Meloro (melorod@gtlaw.com); and (vi) Counsel to the DIP Agent and Prepetition Term Loan Agent, Seward & Kissel, LLP, One Battery Park Plaza, New York, NY 10004 Attn: Gregg Bateman (bateman@sewkis.com) and Y. Daphne Coehlo-Adam (Coelho-adam@sewkis.com). CONCLUSION WHEREFORE, Fox Rothschild respectfully requests that the Court enter an order providing: (i) that the fees in the amount of $63,404.50, as compensation for necessary professional services rendered , and actual and necessary costs and expenses in the amount of $3,433.08, for a total of $66,837.58, be allowed on a final basis; (ii) that fees in the amount of $1,306,973.00 and expenses in the amount of $37,546.96, in the total amount of $1,344,519.96, be allowed on a final basis; (iii) that the Debtors or Liquating Trustee, as

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applicable, be authorized and directed to pay to Fox Rothschild the Fourth Compensation Amount and the Fourth Expense Amount less any amounts already paid; (iv) that the Debtors or the Liquidating Trustee, as applicable, be authorized and directed to pay to Fox Rothschild any outstanding amounts still due and owing for the Final Compensation Period; and (v) granting Fox Rothschild such further relief as may be just. Dated: June 29, 2021 FOX ROTHSCHILD LLP /s/ Seth A. Niederman Seth A. Niederman (DE No. 4588) 919 North Market Street, Suite 300 Wilmington, DE 19899-2323 Telephone: (302) 654-7444 Facsimile: (302) 656-8920 -and- Michael A. Sweet 345 California Street, Suite 2200 San Francisco, California 94104 Telephone: (415) 364-5540 Facsimile: (415) 391-4436 -and- Gordon E. Gouveia 321 North Clark Street, Suite 1600 Chicago, IL 60654 Telephone: (312) 980-3816 Facsimile: (312) 517-9201 Counsel to the Official Committee of Unsecured Creditors

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