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Full title: Monthly Application for Compensation / First Consolidated Monthly Application of Moelis & Company LLC for Compensation for Professional Services Rendered and Reimbursement of Actual and Necessary Expenses as Financial Advisor, Capital Markets Advisor, Placement Agent and Investment Banker to the Debtors for the period January 18, 2021 to March 31, 2021 Filed by EHT US1, Inc.. Objections due by 4/29/2021. (Attachments: # 1 Notice # 2 Exhibit A # 3 Exhibit B # 4 Certificate) (Dean, G.) (Entered: 04/14/2021)

Document posted on Apr 13, 2021 in the bankruptcy, 11 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

The Debtors in these chapter 11 cases, along with the last four digits of each debtor’s tax identification number, as applicable, are as follows: EHT US1, Inc.(6703); 5151 Wiley Post Way, Salt Lake City, LLC (1455); ASAP Cayman Atlanta Hotel LLC (2088); ASAP Cayman Denver Tech LLC (7531); ASAP Cayman Salt Lake City Hotel LLC (7546); ASAP Salt Lake City Hotel, LLC (7146); Atlanta Hotel Holdings, LLC (6450); CI Hospitality Investment, LLC (7641); Eagle Hospitality Real Estate Investment Trust (7734); Eagle Hospitality Trust S1 Pte.FIRST CONSOLIDATED MONTHLY APPLICATION OF MOELIS & COMPANY LLC FOR COMPENSATION FOR PROFESSIONAL SERVICES RENDERED AND REIMBURSEMENT OF ACTUAL AND NECESSARY EXPENSES AS FINANCIAL ADVISOR, CAPITAL MARKETS ADVISOR, PLACEMENT AGENT AND INVESTMENT BANKER TO THE DEBTORS FROM JANUARY 18, 2021 THROUGH AND INCLUDING MARCH 31, 2021 Professionals [D.I. 171] (the 1 The Debtors in these chapter 11 cases, along with the last four digits of each debtor’s tax identification number, as applicable, are as follows: EHT US1, Inc.(6703); 5151 Wiley Post Way, Salt Lake City, LLC (1455); ASAP Cayman Atlanta Hotel LLC (2088); ASAP Cayman Denver Tech LLC (7531); ASAP Cayman Salt Lake City Hotel LLC (7546); ASAP Salt Lake City Hotel, LLC (7146); Atlanta Hotel Holdings, LLC (6450); CI Hospitality Investment, LLC (7641); Eagle Hospitality Real Estate Investment Trust (7734); Eagle Hospitality Trust S1 Pte. “Interim Compensation Order”), Moelis & Company LLC (“Moelis”), the retained financial advisor, capital markets advisor, placement agent, and investment banker to the above-captioned debtors and debtors-in-possession (the “Debtors”), hereby submits this first consolidated monthly application (this “Application”) for the allowance of compensation for professional services performed by Moelis for the period from January 18, 2021 through and including March 31, 2021 (the “Compensation Period”), and reimbursement of its actual and necessary expenses incurred during the Compensation Period. Moelis conducted general financial advisory, investment banking, capital markets and other administrative services, including, but not limited to, services related to these chapter 11 cases generally, retention matters, chapter 11 procedures, and communications, administrative functions, and other matters not falling into any of the service categories listed above.

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE ----------------------------------------------------------x : In re: : Chapter 11 : EHT US1, Inc., et al. : Case No. 21-10036 (CSS) : Debtors.1 : (Jointly Administered) : : Objection Deadline: April 29, 2021 at 4:00 p.m. (ET) : ----------------------------------------------------------x COVER SHEETS FOR FIRST CONSOLIDATED MONTHLY APPLICATION OF MOELIS & COMPANY LLC FOR COMPENSATION FOR PROFESSIONAL SERVICES RENDERED AND REIMBURSEMENT OF ACTUAL AND NECESSARY EXPENSES AS FINANCIAL ADVISOR, CAPITAL MARKETS ADVISOR, PLACEMENT AGENT AND INVESTMENT BANKER TO THE DEBTORS FROM JANUARY 18, 2021 THROUGH AND INCLUDING MARCH 31, 2021 Name of Applicant: Moelis & Company LLC Authorized to provide professional services to: Debtors Applicant’s Role in Case: Financial advisor, capital markets advisor, placement agent and investment banker Date of Professional’s Retention: February 23, 2020 (nunc pro tunc to January 18, 2021, the Petition Date) Period for which compensation and Beginning of End of Period reimbursement are sought (the “Compensation Period Period”): 1/18/2021 3/31/2021 1 The Debtors in these chapter 11 cases, along with the last four digits of each debtor’s tax identification number, as applicable, are as follows: EHT US1, Inc.(6703); 5151 Wiley Post Way, Salt Lake City, LLC (1455); ASAP Cayman Atlanta Hotel LLC (2088); ASAP Cayman Denver Tech LLC (7531); ASAP Cayman Salt Lake City Hotel LLC (7546); ASAP Salt Lake City Hotel, LLC (7146); Atlanta Hotel Holdings, LLC (6450); CI Hospitality Investment, LLC (7641); Eagle Hospitality Real Estate Investment Trust (7734); Eagle Hospitality Trust S1 Pte. Ltd. (7669); Eagle Hospitality Trust S2 Pte. Ltd. (7657); EHT Cayman Corp. Ltd. (7656); Sky Harbor Atlanta Northeast, LLC (6846); Sky Harbor Denver Holdco, LLC (6650); Sky Harbor Denver Tech Center, LLC (8303); UCCONT1, LLC (0463); UCF 1, LLC (6406); UCRDH, LLC (2279); UCHIDH, LLC (6497); Urban Commons 4th Street A, LLC (1768); Urban Commons Anaheim HI, LLC (3292); Urban Commons Bayshore A, LLC (2422); Urban Commons Cordova A, LLC (4152); Urban Commons Danbury A, LLC (4388); Urban Commons Highway 111 A, LLC (4497); Urban Commons Queensway, LLC (6882); Urban Commons Riverside Blvd., A, LLC (4661); and USHIL Holdco Member, LLC (4796). The Debtors’ mailing address is 3 Times Square, 9th Floor New York, NY 10036 c/o Alan Tantleff (solely for purposes of notices and communications).

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Summary of Total Fees and Expenses Requested: Amount of Compensation sought: $1,300,000.00 Amount of payment requested for compensation: $1,040,000.00 (80% of $1,300,000.00) Amount of expense reimbursement requested: $41,432.822 $1,081,432.82 Total fees and expenses requested in this statement (excluding 20% holdback): Consolidated Monthly This is a: Application 2 Please note that certain vendor invoices may not come in until after the end of the month for which such service was provided. Accordingly, Moelis reserves the right to include such unbilled expenses in subsequent fee statements/applications.

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SUMMARY OF PROFESSIONALS’ TIME DURING COMPENSATION PERIOD OF JANUARY 18, 2021 THROUGH AND INCLUDING MARCH 31, 2021 Hours Summary Larry Kwon Bert Grisel Grant Kassel Ivy Wong Vimla Luk Managing Director Managing Director Executive Director Executive Director Vice PresidentJanuary 2021 15.5 hour(s) 2.0 hour(s) 11.0 hour(s) 9.0 hour(s) -February 2021 37.8 hour(s) 13.5 hour(s) 24.0 hour(s) 22.5 hour(s) 1.0 hour(s)March 2021 37.0 hour(s) 17.5 hour(s) 37.5 hour(s) 31.5 hour(s) 1.0 hour(s)Total 90.3 hour(s) 33.0 hour(s) 72.5 hour(s) 63.0 hour(s) 2.0 hour(s) Hours Summary Jay Ramachandran Mark Gerwig Joshua Lam Jesse Levitin Qi WangAssociate Associate Associate Analyst Analyst January 2021 32.0 hour(s) 6.0 hour(s) 3.0 hour(s) 16.5 hour(s) 10.0 hour(s)February 2021 58.0 hour(s) - 8.0 hour(s) 31.5 hour(s) 12.5 hour(s)March 2021 50.5 hour(s) - 21.0 hour(s) 37.5 hour(s) 19.5 hour(s)Total 140.5 hour(s) 6.0 hour(s) 32.0 hour(s) 85.5 hour(s) 42.0 hour(s)

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SUMMARY OF EXPENSES DURING COMPENSATION PERIOD OF JANUARY 18, 2021 THROUGH AND INCLUDING MARCH 31, 2021 Category Amount Travel $8.51 Meals 564.74 Phone Bills 479.66 Presentations 327.16 Legal Fees 40,052.75 Total Expenses $41,432.82

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE ----------------------------------------------------------x : In re: : Chapter 11 : EHT US1, Inc., et al. : Case No. 21-10036 (CSS) : Debtors.1 : (Jointly Administered) : : Objection Deadline: April 29, 2021 at 4:00 p.m. (ET) : ----------------------------------------------------------x FIRST CONSOLIDATED MONTHLY APPLICATION OF MOELIS & COMPANY LLC FOR COMPENSATION FOR PROFESSIONAL SERVICES RENDERED AND REIMBURSEMENT OF ACTUAL AND NECESSARY EXPENSES AS FINANCIAL ADVISOR, CAPITAL MARKETS ADVISOR, PLACEMENT AGENT AND INVESTMENT BANKER TO THE DEBTORS FROM JANUARY 18, 2021 THROUGH AND INCLUDING MARCH 31, 2021 Pursuant to sections 328 and 330 of title 11 of the United States Code, 11 U.S.C. §§ 101-1532, as amended (the “Bankruptcy Code”) and Rule 2016 of the Federal Rules ofBankruptcy Procedure (the “Bankruptcy Rules”), Rule 2016-2 of the Local Rules of Bankruptcy Practice and Procedure for the United States Bankruptcy Court for the District of Delaware (the “Local Bankruptcy Rules”), and the Order Establishing Procedures for Interim Compensation and Reimbursement of Expenses for Retained Professionals [D.I. 171] (the 1 The Debtors in these chapter 11 cases, along with the last four digits of each debtor’s tax identification number, as applicable, are as follows: EHT US1, Inc.(6703); 5151 Wiley Post Way, Salt Lake City, LLC (1455); ASAP Cayman Atlanta Hotel LLC (2088); ASAP Cayman Denver Tech LLC (7531); ASAP Cayman Salt Lake City Hotel LLC (7546); ASAP Salt Lake City Hotel, LLC (7146); Atlanta Hotel Holdings, LLC (6450); CI Hospitality Investment, LLC (7641); Eagle Hospitality Real Estate Investment Trust (7734); Eagle Hospitality Trust S1 Pte. Ltd. (7669); Eagle Hospitality Trust S2 Pte. Ltd. (7657); EHT Cayman Corp. Ltd. (7656); Sky Harbor Atlanta Northeast, LLC (6846); Sky Harbor Denver Holdco, LLC (6650); Sky Harbor Denver Tech Center, LLC (8303); UCCONT1, LLC (0463); UCF 1, LLC (6406); UCRDH, LLC (2279); UCHIDH, LLC (6497); Urban Commons 4th Street A, LLC (1768); Urban Commons Anaheim HI, LLC (3292); Urban Commons Bayshore A, LLC (2422); Urban Commons Cordova A, LLC (4152); Urban Commons Danbury A, LLC (4388); Urban Commons Highway 111 A, LLC (4497); Urban Commons Queensway, LLC (6882); Urban Commons Riverside Blvd., A, LLC (4661); and USHIL Holdco Member, LLC (4796). The Debtors’ mailing address is 3 Times Square, 9th Floor New York, NY 10036 c/o Alan Tantleff (solely for purposes of notices and communications).

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“Interim Compensation Order”), Moelis & Company LLC (“Moelis”), the retained financial advisor, capital markets advisor, placement agent, and investment banker to the above-captioned debtors and debtors-in-possession (the “Debtors”), hereby submits this first consolidated monthly application (this “Application”) for the allowance of compensation for professional services performed by Moelis for the period from January 18, 2021 through and including March 31, 2021 (the “Compensation Period”), and reimbursement of its actual and necessary expenses incurred during the Compensation Period. By this Application, Moelis seeks (a) payment for compensation for services rendered in the amount of $1,040,000.00, which is 80 percent of the $1,300,000.00 in fees for which it seeks interim allowance for the Compensation Period, and (b) reimbursement of actual and necessary expenses in the amount of $41,432.82 incurred during the Compensation Period. In support of this Application, Moelis respectfully represents as follows: Background 1. On January 18, 2021 (the “Petition Date”), the Debtors each commenced with this Court a voluntary case under chapter 11 of the Bankruptcy Code (collectively, the “Chapter 11 Cases”). The Chapter 11 Cases are being jointly administered for procedural purposes only pursuant to Bankruptcy Rule 1015(b). The Debtors continue to operate their businesses and manage their properties as debtors in possession pursuant to sections 1107(a) and 1108 of the Bankruptcy Code. On June 11, 2020, the Office of the United States Trustee for the District of Delaware (the “U.S. Trustee”) appointed the official committee of unsecured creditors (the “Committee”) pursuant to section 1102 of the Bankruptcy Code. [D.I. 243]. No trustee or examiner has been appointed in these Chapter 11 Cases. 2. Additional factual background and information regarding the Debtors, including their business operations, their corporate and capital structure, their restructuring activities, and

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the events leading to the commencement of these Chapter 11 Cases, is set forth in detail in the Declaration of Alan Tantleff, Chief Restructuring Officer of Eagle Hospitality Group, in Support of the Debtors’ Chapter 11 Petitions and First Day Motions [D.I. 13]. 3. On July 30, 2020, the Court entered an order authorizing the Debtors to retain Moelis as their financial advisor, capital markets advisor, placement agent and investment banker, nunc pro tunc to the Petition Date [D.I. 269] (the “Retention Order”) in accordance with the engagement letter attached thereto (the “Engagement Letter”), subject to the modifications stated in the Retention Order. COMPENSATION REQUESTED FOR SERVICES RENDERED DURING THE COMPENSATION PERIOD 4. Moelis’ requested compensation for the Compensation Period includes (i) its Monthly Fee (as defined in the Engagement Letter) for February and March 2021 and (ii) a Capital Transaction Fee (as defined in the Engagement Letter) in the amount of $1,000,000.00 in connection with the approval and consummation of the Debtors’ debtor-in-possession financing (the “DIP Financing”). As stated in the Engagement Letter, the Monthly Fee is $150,000.00, eighty percent (80%) of which is $120,000.00. 5. Pursuant to the Engagement Letter, Moelis earns a Capital Transaction Fee of 1.0% of the aggregate gross amount of any new secured capital (including unfunded commitments). The aggregate principal amount of the DIP Financing approved by the Order (I) Authorizing Debtors To Obtain Postpetition Financing, (II) Granting Liens And Superpriority Administrative Expense Claims, (III) Modifying Automatic Stay, And (IV) Granting Related Relief [D.I. 287] is $100,000,000.00 with 1.0% of such amount equal to $1,000,000.00. The Engagement Letter provides that the Capital Transaction Fee is earned and payable at the closing

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of the Capital Transaction. The DIP Financing closed on February 24, 2021. Accordingly, Moelis is entitled to the Capital Transaction Fee. 6. During the Compensation Period, Moelis’ professionals rendered approximately 567 hours of services to the Debtors, based on the time records those professionals maintained pursuant to the Retention Order. As stated in the Debtors’ application to retain Moelis [D.I. 138], (a) it is not the general practice of financial advisory firms such as Moelis to keep detailed time records similar to those customarily kept by attorneys; (b) Moelis does not ordinarily keep time records on a “project category” basis; and (c) Moelis’ compensation is based on a fixed Monthly Fee and fixed transaction fees. 7. Moelis’ work on behalf of the Debtors during the Compensation Period involved tasks that are briefly summarized below. The summary is not intended to be a detailed description of the work Moelis has performed during the Compensation Period, but rather is a guideline offered to the Court and other interested parties with respect to the services performed by Moelis. (a) Meetings and Calls with Management and Creditors. During the Compensation Period, Moelis participated in calls and meetings with the DBS Trustee the Debtors’ other professionals and creditors and the creditors’ advisors. These calls covered various topics, including but not limited to the chapter 11 process (including the sale process), liquidity, COVID impact, financial scenario analysis, the state of business operations and restructuring strategy. Moelis prepared materials for and the Debtors and for creditors and provided strategic advice regarding these chapter 11 cases. Moelis participated in meetings with the DBS Trustee and board of directors and presented materials regarding the Debtors’ business plan, financials, and strategic matters. Moelis also provided updates to the Committee. (b) DIP Financing Process. Moelis worked with the Debtors and their other advisors to provide access to additional liquidity via DIP Financing. Moelis prepared marketing materials, coordinated a formal marketing process, including outreach to a cross-section of third party lenders and investors as well as lenders and investors currently in Eagle Hospitality Group’s capital structure. Moelis held multiple diligence sessions and led negotiations with various parties on behalf of

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the Debtors. Moelis also prepared for and submitted a declaration in support of the hearing on the Debtors’ DIP Financing. (c) Sale Process. Moelis worked with the Debtors and their advisors to prepare marketing materials, organize a data room and coordinate outreach to parties who may have interest in acquiring the Debtors’ assets. Moelis facilitated diligence for and helped the Debtors prepare materials for various parties in interest in this process. (d) Strategic Alternatives. Moelis reviewed and analyzed potential strategic alternatives, including, among other things, plan of reorganization alternatives. (e) Administrative Matters. Moelis conducted general financial advisory, investment banking, capital markets and other administrative services, including, but not limited to, services related to these chapter 11 cases generally, retention matters, chapter 11 procedures, and communications, administrative functions, and other matters not falling into any of the service categories listed above. 8. Moelis’ time records for the Compensation Period, maintained in accordance with the Retention Order, are annexed hereto as Exhibit A. Pursuant to the Retention Order, the requirements of the Bankruptcy Code, the Bankruptcy Rules, the U.S. Trustee Guidelines and Local Rule 2016-2 have been modified such that Moelis’ restructuring professionals are required only to keep summary time records in half-hour increments; Moelis’ non-restructuring professionals and personnel in administrative departments (including internal legal) are not required to maintain time records; Moelis’ restructuring professionals are not required to keep time records on a project category basis; and Moelis is not required to provide or conform to any schedules of hourly rates. 9. To the extent this Application does not comply in every respect with the requirements of the Bankruptcy Code, the Bankruptcy Rules, the U.S. Trustee Guidelines and Local Rule 2016-2 (as modified by the Retention Order), Moelis respectfully requests a waiver for any such technical non-compliance.

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REQUEST FOR REIMBURSEMENT OF EXPENSES INCURRED DURING THE COMPENSATION PERIOD 10. Expenses incurred by Moelis for the Compensation Period totaled $41,432.82. A detailed description of the expenses Moelis incurred during the Compensation Period is annexed hereto as Exhibit B. The expenses incurred by Moelis during the Compensation Period include attorneys’ fees and expenses of its outside legal counsel relating to retention issues and services performed by Moelis, invoices supporting which are included in Exhibit B. 11. Moelis has made every reasonable effort to minimize its disbursements in these chapter 11 cases. All of the fees and expenses for which allowance and payment is requested by Moelis in this Application are reasonable and necessary, and Moelis’ work was performed for and on behalf of the Debtors during the Compensation Period. In seeking reimbursement of an expenditure, Moelis is requesting reimbursement “at cost” and does not make a profit on such expenditure. [Remainder of page intentionally left blank.]

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WHEREFORE, pursuant to the Interim Compensation Order, Moelis respectfully requests that an allowance be made to Moelis for 100% of its fees of $1,300,000.00 and 100% of its expenses of $41,432.82 incurred during the Compensation Period. Moelis also respectfully requests payment by the Debtors of $1,081,432.82, representing the sum of 80% of its fees requested herein, plus 100% of the expense reimbursement requested herein. Dated: April 14, 2021 MOELIS & COMPANY LLC By: /s/ Lawrence Y. Kwon Name: Lawrence Y. Kwon Title: Managing Director

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