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Full title: Application for Compensation Second and Final Application For Allowance And Payment Of Compensation And Reimbursement Of Expenses Of Kinsella Media, LLC As Expert Noticing Consultant For The Official Committee Of Unsecured Creditors For The Period From August 31, 2020 Through July 31, 2021 for Kinsella Media, LLC, Consultant, Fee: $91,187.50, Expenses: $4,600.00. Filed by Kinsella Media, LLC (Cantor, Linda) (Entered: 08/23/2021)

Document posted on Aug 22, 2021 in the bankruptcy, 77 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

KM conferred with Committee counsel regarding the motion to extend the bar date, including analysis of media recommendations to extend bar date and potential revisions to original bar date media program. 4.3 600.00 $2,580.00 Call with Shannon Wheatman to discuss citations in Wheatman Cristen Stephansky: Senior Notice Program Manager 9/4/20 1.6 350.00 $560.00 declaration. 0.4 600.00 $240.00 Email Linda Cantor about precedent in courts using media evidence in Shannon Wheatman: Notice Expert 0.3 350.00 $105.00Draft comparison chart of media recommendations for extended bar Elaine Pang: Media Planner 7/12/21 1.3 350.00 $455.00 date and original bar date media program.I hereby caused a copy of the foregoing Final Application to be served on August 23, 2021 upon all parties by electronic case filing for those parties receiving notice via the Court’s Electronic Case Filing system, and on all other parties requiring service under the Court’s Ex Parte Order Authorizing the Debtor to Limit Notice and Establishing Notice Procedures through the Master Service List via first-class United States mail, postage prepaid, to be sent on August 23, 2021. /s/

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Document Contents

UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF LOUISIANA IN RE: § Case No. 20-10846 § THE ROMAN CATHOLIC CHURCH § Section “A” OF THE ARCHDIOCESE OF NEW § ORLEANS § Chapter 11 § Debtor.1 § § SUMMARY COVER SHEET TO SECOND AND FINAL APPLICATION FOR ALLOWANCE AND PAYMENT OF COMPENSATION AND REIMBURSEMENT OF EXPENSES OF KINSELLA MEDIA, LLC AS EXPERT NOTICING CONSULTANT TO THE OFFICIAL COMMITTEE OF UNSECURED CREDITORS FOR THE PERIOD FROM AUGUST 31, 2020 THROUGH JULY 31, 2021
Table 1 on page 1. Back to List of Tables
Name of Applicant: None None
Applicant’s Professional Role in Case None None
Date Order of Employment Signed None None
Beginning of
Period
End of Period
Time period for the Entirety of Case (the “Final Period”) 8/31/2020 7/31/2021
Time period covered by this Application (the “Second Period”) 11/1/2020 7/31/2021
Time periods covered by prior Applications 8/31/2020 10/31/2020
Total amounts awarded in all prior Applications: None $79,490.00
Total fees requested for the Second Period: None $15,197.50
Reimbursable expenses sought for the Second Period: None $1,100.00
1 The last four digits of the Debtor’s federal tax identification number are 8966. The Debtor’s principal place of business is located at 7887 Walmsley Ave., New Orleans, LA 70125.

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Table 1 on page 2. Back to List of Tables
Total actual professional hours for the Second Period: 41.10
Average hourly rate for professionals for the Second Period: 369.76
Total fees requested in this Final Application $91,187.50
Total expenses requested in this Final Application $4,600.00
PRIOR FEE STATEMENTS AND MONTHLY FEES FEES (AFTER REQUESTED ALL APPROVED REDUCTIONS) Date Period Fees Expenses Fees Fees Expenses Amou Served Covered Owed 8/31/2020 – $65,370.00 $3,500 $65,370.00 $65,370.00 $3,500.00 $0.00 9/30/2020 10/1/2020 – $10,620.00 N/A $10,620.00 $10,620.00 N/A $0.00 10/31/2020 11/1/2020 – $8,687.50 N/A $8,687.50 N/A N/A $1,737.5 11/30/2020 12/1/2020 – $1,465.00 N/A $1,465.00 N/A N/A $293.0 12/31/2020 2/1/2021 – $2,255.00 N/A $2,255.00 N/A N/A $451.0 2/28/2021 7/1/2021 – $2,790.00 $1,100.00 $2,790.00 $3,890. 7/31/2021 SUMMARY OF HOURS BILLED BY PROFESSIONALS AND PARAPROFESSIONALS FOR THE SECOND PERIOD (NOVEMBER 1, 2020 THROUGH JULY 31, 2021)
Table 2 on page 2. Back to List of Tables
Name Title Rate Hours
Shannon Wheatman Noticing Expert $600 13.60
Elaine Pang Media Planner $350 8.60
Sali Hama Senior Notice
Program Manager
$350 7.40
Lisa Studell Graphic Designer $125.00 11.50
41.10

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EXPENSE SUMMARY FOR THE SECOND PERIOD (NOVEMBER 1, 2020 THROUGH July 31, 2021)
Table 1 on page 3. Back to List of Tables
Description Amount
Website Hosting (April – July
2021)
$1,100.00
$1,100.00

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UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF LOUISIANA IN RE: § Case No. 20-10846 § THE ROMAN CATHOLIC CHURCH § Section “A” OF THE ARCHDIOCESE OF NEW § ORLEANS § Chapter 11 § Debtor.1 § § A HEARING WILL BE CONDUCTED ON THIS MATTER ON SEPTEMBER 14, 2021, AT 1:30 P.M. BY TELEPHONE THROUGH THE DIAL-IN FOR SECTION A 1-888-684-8852; CONFERENCE CODE 9318283. IF YOU OBJECT TO THE RELIEF REQUESTED IN THIS PLEADING, YOU MUST RESPOND IN WRITING. UNLESS DIRECTED OTHERWISE BY THE COURT, YOU MUST FILE YOUR RESPONSE WITH THE CLERK OF THE BANKRUPTCY COURT NO LATER THAN SEVEN (7) DAYS BEFORE THE HEARING DATE. YOU MUST SERVE A COPY OF YOUR RESPONSE ON THE PERSON WHO SENT YOU THE NOTICE; OTHERWISE, THE COURT MAY TREAT THE PLEADING AS UNOPPOSED AND GRANT THE RELIEF REQUESTED. SECOND AND FINAL APPLICATION FOR ALLOWANCE AND PAYMENT OF COMPENSATION AND REIMBURSEMENT OF EXPENSES OF KINSELLA MEDIA, LLC, AS EXPERT NOTICING CONSULTANT TO THE OFFICIAL COMMITTEE OF UNSECURED CREDITORS FOR THE PERIOD FROM AUGUST 31, 2020 THROUGH JULY 31, 2021 Kinsella Media, LLC (“KM” or the “Firm”), the noticing expert retained by the Official Committee of Unsecured Creditors (the “Committee”) appointed in the case of The Roman Catholic Church of the Archdiocese of New Orleans (the “Debtor”) in connection with the Debtor’s establishment of a bar date noticing program, hereby submits its Second and Final 1 The last four digits of the Debtor’s federal tax identification number are 8966. The Debtor’s principal place of business is located at 7887 Walmsley Ave., New Orleans, LA 70125.

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Application for Allowance and Payment of Compensation and Reimbursement of Expenses of Kinsella Media, LLC, as Noticing Expert Consultant to the Official Committee of Unsecured Creditors for the Period from August 31, 2020 through July 31, 2021 (the “Application”). In support of the Application, KM respectfully represents as follows: I. JURISDICTION AND VENUE 1. The Court has jurisdiction to consider this Application pursuant to 28 U.S.C. §§ 157 and 1334. This is a core proceeding pursuant to 28 U.S.C. § 157(b). 2. Venue is proper pursuant to 28 U.S.C. §§ 1408 and 1409. 3. The bases for the relief requested herein are sections 330 and 331 of title 11 of the United States Code, 11 U.S.C. §§ 101–1532 (the “Bankruptcy Code”), Rules 2014 and 2016 of the Federal Rules of Bankruptcy Procedure (the “Bankruptcy Rules”), Rules 2014-1 and 2016-1 of the Bankruptcy Local Rules for the Eastern District of Louisiana (the “Local Rules”), and in accordance with Section XIII(B) of the Court’s December 4, 2019 General Order Regarding Procedures of Complex Chapter 11 Cases (the “Complex Case Order”), and the United States Trustee Guidelines for Reviewing Applications for Compensation and Reimbursement of Expenses by Attorneys in Larger Chapter 11 Cases (the “UST Guidelines”). II. BACKGROUND A. Introduction 4. On May 1, 2020 (the “Petition Date”), The Roman Catholic Church of the Archdiocese of New Orleans (the “Archdiocese”) filed a voluntary petition for relief under Chapter 11 of the Bankruptcy Code.

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5. The Debtor remains in possession of its property and is managing its business as a debtor in possession pursuant to §§ 1107(a) and 1108 of the Bankruptcy Code, 11 U.S.C. § 101 et. seq. 6. On May 20, 2020, the Office of the United States Trustee for Region 5 (the “U.S. Trustee”) appointed the Committee pursuant to section 1102(a)(1) of the Bankruptcy Code [Docket No. 94]. On June 10, 2020, the U.S. Trustee filed its Notice of Reconstituted Committee of Unsecured Creditors, replacing member Hancock Whitney Bank with TMI Trust Company. [Docket No. 151]. On October 8, 2021, the U.S. Trustee filed its Notice of Appointment of Reconstituted Unsecured Creditors’ Committee, removing TMI Trust Company from the Committee. [Docket No. 478]. B. Employment of the Firm 7. On September 2, 2020, the Committee filed an Application of the Official Committee of Unsecured Creditors for Entry of an Order Under 11 U.S.C. §§ 1103(a) and 328(a) and Fed R. Bankr. P. 2014(a) Authorizing the Retention of Kinsella Media, LLC as Expert Consultant Regarding Debtor’s Establishment of a Bar Date Noticing Program Effective as of August 31, 2020 [Docket No. 383] (the “Application”). As more fully described in the Retention Application, the Committee retained the Firm to provide, inter alia, advice and an expert report regarding the Debtor’s proposed bar date noticing program to the Committee in the Bankruptcy Case. 8. On September 10, 2020, this Court entered the Order Authorizing and Approving the Employment and Retention of Kinsella Media, LLC as Expert Consultant Regarding Debtor’s Establishment of a Bar Date Noticing Program, Effective as of August 31, 2020 [Docket No. 410] (the “Retention Order”). The Retention Order approved the Firm’s retention as noticing expert to the Committee regarding the Debtor’s bar date noticing program in the Bankruptcy Case.

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III. PROFESSIONAL COMPENSATION AND REIMBURSEMENT OF EXPENSES REQUESTED 9. This Application has been prepared in accordance with sections 330 and 331 of the Bankruptcy Code, Rules 2014 and 2016 of the Bankruptcy Rules, Rules 2014-1 and 2016-1 of the Local Rules, the UST Guidelines, Section XIII(B) of the Court’s December 4, 2019 General Order Regarding Procedures for Complex Chapter 11 Cases (the “Complex Case Order”). 10. On October 15, 2020, the first monthly fee statement for KM was submitted to parties in interest in accordance with the Complex Case Order (the “First Monthly Fee Statement”) covering the period from August 31, 2020 through September 30, 2020. The First Monthly Fee Statement requested interim allowance of $65,370.00 in fees and $3,500.00 in expenses for a total of $68,870.00. A true and correct copy of the First Monthly Fee Statement is attached hereto as Exhibit A. 11. On November 24, 2020, the second monthly fee statement for KM was submitted to parties in interest in accordance with the Complex Case Order (the “Second Monthly Fee Statement”) covering the period from October 1, 2020 through October 31, 2020. The Second Monthly Fee Statement requested interim allowance of $10,620.00 in fees and no expenses. A true and correct copy of the Second Monthly Fee Statement is attached hereto as Exhibit B. 12. Pursuant to the Order Approving First Interim Application for Allowance and Payment of Compensation and Reimbursement of Expenses of Kinsella Media, LLC, Expert Noticing Consultant for the Official Committee of Unsecured Creditors, for the Period August 31, 2020 through October 31, 2020, entered December 18, 2020 [Docket No. 674], KM has received payment in full on account of its First and Second Monthly Fee Statements. 13. On January 21, 2021, the third monthly fee statement for KM was submitted to parties in interest in accordance with the Complex Case Order (the “Third Monthly Fee Statement”) covering the period from November 1, 2020 through November 30, 2020. The Third

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Monthly Fee Statement requested interim allowance of $8,687.50 in fees and no expenses. KM has received payment of 80% of its fees in the amount of $6,950.00. A true and correct copy of the Third Monthly Fee Statement is attached hereto as Exhibit C. 14. On January 21, 2021, the fourth monthly fee statement for KM was submitted to parties in interest in accordance with the Complex Case Order (the “Fourth Monthly Fee Statement”) covering the period from December 1, 2020 through December 31, 2020. The Fourth Monthly Fee Statement requested interim allowance of $1,465.00 in fees and no expenses. KM has received payment of 80% of its fees in the amount of $1,172.00. A true and correct copy of the Fourth Monthly Fee Statement is attached hereto as Exhibit D. 15. On July 12, 2021, the fifth monthly fee statement for KM was submitted to parties in interest in accordance with the Complex Case Order (the “Fifth Monthly Fee Statement”) covering the period from February 1, 2021 through February 28, 2021. The Fifth Monthly Fee Statement requested interim allowance of $2,255.00 in fees and no expenses. KM has received 80% of its fees in the amount of $1,804.00. A true and correct copy of the Fifth Monthly Fee Statement is attached hereto as Exhibit E. 16. For the period from July 1, 2021 through July 31, 2021, Kinsella has incurred fees in the amount of $2,790.00 and expenses in the amount of $1,100.00, for a total of $3,890.00. A copy of Kinsella’s fee statement for the period July 1, 2021 through July 31, 2021 is attached hereto as Exhibit F. 17. The Kinsella timekeepers (collectively, the “Timekeepers”) who rendered services to the Committee during the Second Period, including the hourly rate, title, and fees earned by each Timekeeper, is attached hereto as Exhibit G. 18. By this Application, KM seeks final allowance and payment of fees, to the extent not previously paid, for professional services rendered during the period from August 31, 2020 through July 31, 2021 (the “Final Period”) in the amount of $91,187.50 in fees and $4,600.00 in expenses, for a final allowance and payment of $95,787.50.

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IV. SUMMARY OF PROFESSIONALS SERVICES RENDERED The work performed by KM during the Second Period includes without limitation the following: 1. KM continued working on edits to the bar date notice publication layout for print media. 2. KM reviewed advertising layouts, television spots, digital banner ads, social media advertisements, revised press release, and original implemented bar date media plan. 3. KM reviewed the Debtor’s edits to notice materials. 4. KM provided direction on prison email lists. 5. KM reviewed and confirmed media proofs of performance. 6. KM reviewed newspapers tearsheets. 7. KM conferred with Committee counsel regarding (a) proofs of performance and (b) U.S. Trustee inquiry into KM’s prior monthly fee applications. 8. KM conferred with Committee counsel regarding the motion to extend the bar date, including analysis of media recommendations to extend bar date and potential revisions to original bar date media program. 9. The KM fee statements appended hereto as Exhibits A through F for the Final Period break down the tasks performed by timekeeper name, date the service was provided, a description of the service, the hours expended, the hourly rate and the hourly total by task. All of KM’s services were provided in relation to the Bar Date Motion and, specifically, in support of the Bar Date Notice Program ultimately implemented in this Case. The services related to Claims Administration matters.

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The Requested Compensation Should be Allowed 10. Section 330 provides that a court may award a professional employed under 11 U.S.C § 328 “reasonable compensation for actual, necessary services rendered . . . and reimbursement for actual, necessary expenses.” See 11 U.S.C. Section 330(a)(1). Section 330 also sets forth the criteria for the award of such compensation and reimbursement, and provides: In determining the amount of reasonable compensation to be awarded . . . , the court should consider the nature, the extent, and the value of such services, taking into account all relevant factors, including – (A) the time spent on such services; (B) the rates charged for such services; (C) whether the services were necessary to the administration of, or beneficial at the time at which the service was rendered toward the completion of, a case under this title; (D) whether the services were performed within a reasonable amount of time commensurate with the complexity, importance, and nature of the problem, issue, or task addressed; (E) with respect to a professional person, whether the person is board certified or otherwise has demonstrated skill and experience in the bankruptcy field; and (F) whether the compensation is reasonable based on the customary compensation charged by comparably skilled practitioners in cases other than cases under this title. 11 U.S.C. § 330(a)(3).

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11. This Application substantiates the total amount the Firm seeks for fees and expenses in accordance with this Court’s standards applied to fee applications. The factors that courts in this jurisdiction consider when making a discretionary award of reasonable attorneys’ fees and reimbursable expenses were originally described in Johnson v. Georgia Highway Express, Inc., 488 F.2d 714, 717-19 (5th Cir. 1974) (the “Johnson Factors”). The Fifth Circuit has applied the Johnson Factors to the determination of awards of attorneys’ fees and expenses in bankruptcy cases. In re First Colonial Corp. of Am., 544 F.2d 1291 (5th Cir. 1977), cert. denied 431 U.S. 904 (1977). Many of these Johnson Factors have now been codified at Bankruptcy Code § 330(a)(3). 11 U.S.C. § 330(a)(3). 12. The Johnson Factors are summarized as follows: (1) the time and labor required; (2) the novelty and difficulty of the questions presented; (3) the skill required to perform the legal services; (4) the preclusion of other employment by the attorneys due to acceptance of the bankruptcy case; (5) the customary fee; (6) whether the fee is fixed or contingent; (7) time limitations imposed by the client or circumstances; (8) the amounts involved and the results obtained; (9) the experience, reputation and ability of the attorneys; (10) the “undesirability” of the case; (11) the nature and length of the professional relationship with the client; and (12) awards in similar cases.2 Based upon the services described in this Application, the Firm respectfully represents that it has fully satisfied the standards prescribed by the Johnson Factors. 2 The factors enunciated in Johnson have been adopted by four other courts of appeals. See Boston & Maine Corp. v. Sheehan, Phinney, Bass & Green, 778 F.2d 890, 896 (1st Cir. 1985); Harman v. Levin, 772 F.2d 1151, 1152-53 (4th Cir. 1985); Mann v. McCombs, 751 F.2d 286, 287-88 (8th Cir. 1984); Yermakov v. Fitzsimmons, 718 F.2d 1465, 1471 (9th Cir. 1983).

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The Time and Labor Required 13. Firm professionals, in the performance of expert services, expended 41.10 hours during the Second Period for a total fee of $15,197.50. The blended hourly rate during the Second Period is therefore $369.76/hour. The names of the professionals who worked on this Bankruptcy Case during the Second Period appear in the invoices annexed to Exhibits C through F attached hereto. 14. Firm professionals, in the performance of expert services, expended 196.00 hours during the Final Period for fees in the amount of $91,187.50 and expenses in the amount of $4,600.00, for a total of $95,787.50. The blended hourly rate during the Final Period is therefore $465.24/hour. The names of the professionals who worked on this Bankruptcy Case during the Final Period appear in the invoices annexed to Exhibits A through F attached hereto. 15. The Firm submits that the time and labor these professionals expended in the Bankruptcy Case are appropriate and reasonable and that, to the extent they are applicable to the professional services rendered herein, this Johnson Factor supports the Firm’s requested award. The Novelty and Difficulty of the Questions Presented 16. Factors for consideration in developing an appropriate notice program in any particular case that will satisfy due process requirements are necessarily case specific and depend on the length of the notice period, monetary resources, claimant demographics, the length of time since the abuse and claimant migration patterns, among other considerations. Each case is unique and requires a different strategy. As such, this Bankruptcy Case presented novel questions and challenges in bridging considerations of efficiency, cost-effectiveness and due process in the context of a contested bar date process. In light of these considerations, this Johnson Factor strongly favors awarding the Firm the fees and expenses it has requested.

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The Skill Required to Perform the Services 17. KM’s role as expert to the Committee in this Bankruptcy Case required considerable skill and expertise. The Firm consulted with the Committee regarding the bar date noticing program, prepared an expert report, provided testimony in connection with Debtor’s motion establishing deadlines and noticing procedures for filing proof of claims and developed an alternate noticing program that was substantially used by the Debtor in this Case. The Firm also continued to consult with the Debtor’s professionals after the bar date program was approved by the Court, providing input on edits to the notice documents and productions. The Firm made every effort to use the most appropriate professional or staff person for any given task. For this reason, the compensation the Firm is requesting for the services rendered by its professionals and staff persons compares favorably to the compensation awarded in other cases of a similar size and complexity. This factor therefore supports the award the Firm has requested. Preclusion of Other Employment Due to Acceptance of the Case 18. The Firm has not declined any representation solely because it served as an expert for the Committee in this Bankruptcy Case. This factor is not applicable. The Customary Fee 19. The Firm computed the amount of compensation it seeks in this Application according to its customary rates, which rates the Firm previously disclosed in the Retention Application. The Firm also maintained detailed time and disbursement records for all consulting services for which it seeks compensation. The rates charged for the Firm’s expert services in this Bankruptcy Case are comparable to other similar-situated firms. Thus, the blended hourly rate for the Final Period on this matter of $465.24/hour is reasonable and reflects market rates for expert and consulting services in Chapter 11 bankruptcy cases of this size and complexity. Similarly, the

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amounts sought for the reimbursement of expenses reflect the prevailing rates for expense reimbursement by expert firms similar in size and reputation to the Firm. Whether the Fee is Fixed or Contingent 20. The Firm’s fee for services rendered in this Bankruptcy Case is based on its regular hourly rates, subject in all respects to this Court’s approval. The Firm has not requested any contingent fee in this Bankruptcy Case. Time Limitations Imposed by the Client or Other Circumstances 21. The Firm has had to respond to time-constraints arising in this Bankruptcy Case in connection with critiquing the Debtor’s proposed noticing program and developing an alternate publication program. Because the noticing program proposed by the Debtor in its Bar Date Motion had not been informed by any expert advice or opinions, the Committee was required to request employment of the Firm as a noticing expert in this Case, and the Firm was required to respond on short notice to contested matters and developing events as they unfolded. These considerations mean that this Johnson Factor supports the fee award requested. The Amount Involved and the Results Obtained 22. The Invoices summarize the individual tasks that Firm personnel performed during the Application Period as well as the amounts charged for those tasks. The total fees the Firm seeks to approve in this Final Application amount to $91,187.50. This figure is commensurate with the Firm’s achievements. This Johnson Factor strongly supports the fee award requested. The Experience, Reputation, and Ability of the Professionals 23. The Firm has unparalleled experience in developing multi-media noticing programs, effectively reaching potential claimants. The Firm’s president, Dr. Wheatman, has been

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involved in numerous cases involving potential claimants in Louisiana and served as a bar date noticing expert in other bankruptcy cases including those involving sexual abuse claims. The substantial experience, reputation, and ability of the Firm’s experts working on this Bankruptcy Case favor granting the Firm the fee award it seeks. The “Undesirability” of the Bankruptcy Cases 24. From the Firm’s perspective, serving as noticing expert to the Committee in this Bankruptcy Case was not undesirable. This factor therefore is neutral. The Nature and Length of the Professional Relationship with the Client 25. The Firm has no prior professional relationship with the Archdiocese of New Orleans and was retained by the Committee appointed in the Case, with whom it had no prior relationship. This Johnson Factor is not applicable. Awards in Similar Cases 26. The fee award the Firm seeks is not directly comparable to awards granted to the Firm in other bankruptcy and mass tort cases because, in those cases, the Firm both developed and implemented the claims noticing programs for potential creditors. This last Johnson Factor is not directly applicable. 27. Taken as a whole, the Johnson Factors favor granting the Firm the fee and expense award it seeks. Reservation of Rights 28. It is possible that some professional time expended or expenses incurred by KM are not reflected in this Application. KM reserves the right to file a supplemental fee application to submit additional fees and expenses not previously included in the Application but incurred prior to the date of the hearing on the Application.

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No Prior Request 29. No prior application for the relief requested herein has been made to this or any other court. Conclusion WHEREFORE, KM respectfully requests that this Court enter an order: (i) awarding KM a final allowance of fees for the Application Period in the amount of $91,187.50; (ii) awarding KM reimbursement for actual and necessary expenses incurred in the amount of $4,600.00; (iii) authorizing and directing the Debtor to pay the same, less amounts previously paid; and (iv) granting such other or additional relief as is just and proper. Dated: August 23, 2021 Respectfully submitted, /s/ C. Davin Boldissar Omer F. Kuebel, III (La #21682) C. Davin Boldissar (La. #29094) Locke Lord LLP 601 Poydras Street, Suite 2660 New Orleans, Louisiana 70130-6036 Telephone: (504) 558-5111 Facsimile: (504) 558-5200 Email: dboldissar@lockelord.com -and- James I. Stang (CA Bar No. 94435) Linda F. Cantor (CA Bar No.153762) Pachulski Stang Ziehl & Jones LLP 10100 Santa Monica Blvd., Suite 1300 Los Angeles, CA 90067 Telephone: (310) 277-6910 Facsimile: (310) 201-0760 Co-Counsel to the Official Committee of Unsecured Creditors

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EXHIBIT A

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IN THE UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF LOUISIANA In re: Case No. 20-10846 THE ROMAN CATHOLIC CHURCH Section "A" OF THE ARCHDIOCESE OF NEW ORLEANS, Chapter 11 Debtor. 1 Objection Deadline: October 29, 2020 MONTHLY FEE AND EXPENSE STATEMENT OF KINSELLA MEDIA, LLC FOR THE PERIOD AUGUST 31, 2020 THROUGH SEPTEMBER 30, 2020 1. In accordance with Section XIII(B) of the Court's December 4, 2019 General Order Regarding Procedures for Complex Chapter 11 Cases (the "Complex Case Order"), Kinsella Media, LLC ("Kinsella"), as expert media consultant to the Official Committee of Unsecured Creditors (the "Committee") in this Chapter 11 case concerning the above captioned debtor and debtor-in-possession (the "Debtor") hereby submits its Monthly Fee and Expense Statement (the "Statement") for the period from August 31, 2020 through September 30, 2020 (t he "Statement Period") for the above-sty led Chapter 11 case (collectively, the "Bankruptcy Case"). ITEMIZATION OF SERVICES RENDERED AND EXPENSES INCURRED 2. The Kinsella timekeepers (collectively, the "Timekeepers") who rendered services to the Committee in connection with the Bankruptcy Case during the Statement Pedod, including the hourly rate, title, and fees earned by each Timekeeper, is attached hereto as Exhibit A. 1 The last four digits of the Debtor's federal tax identification number are 8966. The Debtor's principal place of business is located at 7887 Walmsley Ave., New Orleans, LA 70125. DOCS_SF 104237.1 05067/002

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3. With respect to expenses, Kinsella incurred $3,500 with respect to fees associated with the website design management and hosting on behalf of the Committee, as set forth on Exhibit B hereto. 4. The detailed time records of Kinsella for the Statement Period are attached hereto as Exhibit C. 5. In addition, under separate cover, the detailed time records under Exhibit C are being sent to the Office of the United States Trustee in the LED ES format. As of the date hereof, Kinsella has received the following payments for fees and expenses incurred from the Debtor's estate post-petition: None. TOTAL FEES AND EXPENSES SOUGHT FOR THE STATEMENT PERIOD 6. The total amounts sought for fees for professional services rendered and reimbursement of expenses incurred for the Statement Period are as follows: August 31, 2020 to September 30, 2020 Fees (a t standard rates): $65,370.00 Expenses $3,500.00 Total $68,870.00 VOLUNTARY REDUCTIONS 7. Kinsella did not make any reductions to any fees or expenses incurred during the Statement Period. NOTICE AND OB.JECTION PROCEDURES 8. In accordance with the Interim Compensation Order, notice of the Statement has been served upon the following parties ("Notice Parties") as required by the Complex Case Order: (i) counsel for the Debtor, Mark Mintz, Esq., Jones Walker LLP, 201 St. Charles Ave, New 2 DOCS_SF: 104237.1 05067/002

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Orleans, LA 70170-5100; (ii) counsel for the prepetition secured lender, Hancock Whitney Bank, David F. Waguespack, Esq., Carver, Darden, Koretzky, Tessier, Finn, Blossman & Areaux, L.L.C., 1100 Poydras Street, Suite 3100, New Orleans, Louisiana 70163-1102; (iii) KS State Bank, 1010 Westloop, P.O. Box 69, Manhattan KS 66505-0069; (iv) Dell Financial Svc LP, Mail Stop P82DF, 23 One Dell Way, Round Rock TX 78682; and (v) Amanda George, Esq., Office of The United States Trustee, 400 Poydras Street, Suite 2110, New Orleans, LA 70130. 9. Also pursuant to the Complex Case Order, any objections to this Statement must be asserted on or before October 29, 2020 (the "Objection Deadline"), setting forth the nature of the objection and the specific amount of fees or expenses at issue. 10. If no objections to the Statement are received on or before the Objection Deadline, the Debtor, pursuant to the Complex Case Order, is authorized to pay Kinsella on an interim basis the total amount of $52,296.00 which consists of ( a) eighty percent (80%) of Kinsella' s total fees of $65,370.00 for the Statement Period, plus (b) one hundred percent (100%) of total expenses incurred during the Statement Period of $3,500.00. 11. To the extent an objection to the Statement is received on or before the Objection Deadline, the Debtor is to withhold payment of that portion of the Statement to which the objection is directed and will promptly pay the remainder of the fees and disbursements in the percentages set forth above. To the extent such objection is not resolved, it shall be preserved and scheduled for consideration at the next interim fee application hearing. Dated: October 15, 2020 Respectfully submitted, By: Isl Linda Cantor James I. Stang (CA Bar No. 94435) Linda F. Cantor (CA Bar No.153762) Pachulski Stang Ziehl & Jones LLP 10100 Santa Monica Blvd., Suite 1300 Los Angeles, CA 90067 3 DOCS_SF 104237. I 05067/002

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Telephone: (310)-277-6910 Facsimile: (310)-201-0760 Email: jstang@pszjlaw.com lcantor@pszj law .com Co-Counsel to the Official Committee of Unsecured Creditors 4 DOCS_SF: 104237. 1 05067/002

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EXHIBIT A DOCS_SF 104237.1 05067/002

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COMPENSATION BY TIMEKEEPER DURING COMPENSATION PERIOD AUGUST 31, 2020 THROUGH SEPTEMBER 30, 2020 --- Name Title Rate Hours Amount ·-···· --- Shannon Wheatman Noticing $600 73.6 $44,160.00 Expert Elaine Pang Media $350 28.3 $9,905.00 Planner Sali Hama Senior Notice $350 14.9 $5,215.00 Program Manager Cristen Stephansky Senior Notice $350 17.4 $6,090.00 Program Manager ··········- 134.2 S65,370.00 DOCS_SF 104237.1 05067/002

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EXHIBITB DOCS_SF:1042371 05067/002

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EXPENSE SUMMARY DURING COMPENSATION PERIOD AUGUST 31, 2020 THROUGH SEPTEMBER 30, 2020 Description Amount Website Design Management and $3,500.00 Hosting $3,500.00 DOCS_SF 104237.1 05067/002

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EXHIBIT C DOCS_SF:104237.1 05067/002

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1(1 INVOICE # 5082 MFDIA An Lxela Technologies llranci Archdiocese of New Orleans Bankruptcy Bi11To: Job: 4142 Linda Cantor Invoice Date: 10/6/2020 Pachulski Stang Ziehl & Jones LLP Due Date: 11/5/2020 10100 Santa Monica Blvd, 13th Floor Los Angeles, CA 90067 Hours for the period 8/31/20 -9/30/20 Hours Worked Hourly Rate Total Cristen Stephansky: Senior Notice Program Manager 17.4 $350.00 $6,090.00 Elaine Pang: Media Planner 28.3 $350.00 $9,905.00 Sali Hama: Senior Notice Program Manager 14.9 $350.00 $5,215.00 Shannon Wheatman: President 73.6 $600.00 $44,160.00 Flat Fee: Committee Website Design Management and Hosting $3,500.00 Sub-Total: $68,870.00 Current Total Due $68,870.00 Payment Instructions Wire Payment to: ABA/Routing # (Wire or ACH): 111014325 Account#: 8093434387 Account Name: Kinsella Media 5WIFTCode: BAOKUS44 Reference#: 5082 Bank: Bank of Texas Bank Address: 5956 Sherry Lane, Suite 600 Dallas, TX 75225 Bank Contact: Claudia Flores -214.987.8817 Or Overnight Payment to: Exela Technologies Attn:Bldgl,Drawer9065 2701EGrauwylerRd Irving, TX 75061

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"" .. Ir~~" ti11l11 mr.11 . Shannon Wheatman: Notice Expert 8/31/20 Call with Jim Stang. 0.3 600.00 $180.00 Cristen Stephansky: Senior Notice Program Manager 9/1/20 Call with Shannon Wheatman to discuss declaration. 0.6 350.00 $210.00 Cristen Stephansky: Senior Notice Program Manager 9/1/20 Draft Wheatman declaration. 6 350.00 $2,100.00 Call with Shannon Wheatman to discuss Wheatman declaration and Cristen Stephansky: Senior Notice Program Manager 9/1/20 0.3 350.00 $105.00 required proof for opinions. Shannon Wheatman: Notice Expert 9/1/20 Call with Linda Cantor and Gillian Brown. 0.7 600.00 $420.00 Shannon Wheatman: Notice Expert 9/1/20 Review Hearing Transcript. 0.7 600.00 $420.00 Shannon Wheatman: Notice Expert 9/1/20 Review and execute declaration for Application to court. 0.5 600.00 $300.00 Shannon Wheatman: Notice Expert 9/1/20 Review Committee's Motion in Opposition and Debtor's Reply. 0.8 600.00 $480.00 Shannon Wheatman: Notice Expert 9/1/20 Review Debtor's Motion for Deadlines. 0.5 600.00 $300.00 Shannon Wheatman: Notice Expert 9/1/20 Review Committee's Objection to Motion for Deadlines. 0.3 600.00 $180.00 Shannon Wheatman: Notice Expert 9/1/20 Call with Cristen Stephansky to discuss declaration. 0.9 600.00 $540.00 Cristen Stephansky: Senior Notice Program Manager 9/2/20 Continue to draft Wheatman declaration. 0.5 350.00 $175.00 Cristen Stephansky: Senior Notice Program Manager 9/2/20 Call with Shannon Wheatman to review Wheatman declaration. 1 350.00 $350.00 Edit Wheatman declaration based on feedback from Shannon Cristen Stephansky: Senior Notice Program Manager 9/2/20 1 350.00 $350.00 Wheatman. Elaine Pang: Media Planner 9/2/20 Work on media section in Wheatman declaration. 2 350.00 $700.00 Shannon Wheatman: Notice Expert 9/2/20 Call with Cristen Stephansky to discuss declaration. 1 600.00 $600.00 Shannon Wheatman: Notice Expert 9/2/20 Review Revised Order Fixing Time for Filings Proofs of Claim. 0.3 600.00 $180.00 Shannon Wheatman: Notice Expert 9/2/20 Review and edit Abuse Claims Bar Date Notice. 0.6 600.00 $360.00 Shannon Wheatman: Notice Expert 9/2/20 Edit draft of Wheatman declaration. 1.5 600.00 $900.00 Cristen Stephansky: Senior Notice Program Manager 9/3/20 Research and compile supporting files for Wheatman declaration. 0.3 350.00 $105.00 Calls with Shannon Wheatman to discuss research needed for Wheatman Cristen Stephansky: Senior Notice Program Manager 9/3/20 0.9 350.00 $315.00 declaration. Elaine Pang: Media Planner 9/3/20 Analyze Debtors Publication Plan. 1.5 350.00 $525.00 Elaine Pang: Media Planner 9/3/20 Work on newspaper exhibit to Wheatman declaration. 0.5 350.00 $175.00 Elaine Pang: Media Planner 9/3/20 Calls with Shannon Wheatman to discuss media program. 0.7 350.00 $245.00 Shannon Wheatman: Notice Expert 9/3/20 Call with Linda Cantor. 0.7 600.00 $420.00 Shannon Wheatman: Notice Expert 9/3/20 Call with Soren Gisleson, John Denenea, and Richard Trahan\. 1.1 600.00 $660.00 Shannon Wheatman: Notice Expert 9/3/20 Calls with Elaine Pang to discuss media program. 0.7 600.00 $420.00 Shannon Wheatman: Notice Expert 9/3/20 Calls with Cristen Stephansky to discuss declaration. 0.9 600.00 $540.00 Shannon Wheatman: Notice Expert 9/3/20 Continue to draft declaration. 4.3 600.00 $2,580.00 Call with Shannon Wheatman to discuss citations in Wheatman Cristen Stephansky: Senior Notice Program Manager 9/4/20 1.6 350.00 $560.00 declaration. Cristen Stephansky: Senior Notice Program Manager 9/4/20 Compile list of Wheatman declaration proof documentation. 2.5 350.00 $875.00 Cristen Stephansky: Senior Notice Program Manager 9/4/20 Research for Wheatman declaration. 1.3 350.00 $455.00 Elaine Pang: Media Planner 9/4/20 Compile measurement exhibits for Committee. 1 350.00 $350.00 Elaine Pang: Media Planner 9/4/20 Revise media plan. 1 350.00 $350.00 Elaine Pang: Media Planner 9/4/20 Compile revised measurement exhibits for Committee. 1 350.00 $350.00 Elaine Pang: Media Planner 9/4/20 Calls with Shannon Wheatman to discuss media program. 0.5 350.00 $175.00 Shannon Wheatman: Notice Expert 9/4/20 Calls with Elaine Pang to discuss media program. 0.5 600.00 $300.00 Shannon Wheatman: Notice Expert 9/4/20 Calls with Cristen Stephansky to discuss declaration. 1.6 600.00 $960.00 Shannon Wheatman: Notice Expert 9/4/20 Review research for declaration. 0.5 600.00 $300.00 Shannon Wheatman: Notice Expert 9/4/20 Email Linda Cantor about reaching people in prison. 0.3 600.00 $180.00 Shannon Wheatman: Notice Expert 9/4/20 Continue to draft declaration. 4.6 600.00 $2,760.00 Shannon Wheatman: Notice Expert 9/5/20 Email draft declaration to Linda Cantor and Gillian Brown. 0.4 600.00 $240.00 Email Linda Cantor about precedent in courts using media evidence in Shannon Wheatman: Notice Expert 9/5/20 0.5 600.00 $300.00 legal notice cases. Shannon Wheatman: Notice Expert 9/5/20 Research cases where courts relied on media evidence. 1.3 600.00 $780.00 Email Linda Cantor information about Federal Judicial Center's Notice Shannon Wheatman: Notice Expert 9/6/20 0.3 600.00 $180.00 Checklist Shannon Wheatman: Notice Expert 9/6/20 Review and respond to Committee feedback on declaration. 0.6 600.00 $360.00 Shannon Wheatman: Notice Expert 9/7/20 Review and edit Proof of Claim. 0.8 600.00 $480.00 Call with Shannon Wheatman, Elaine Pang, and Sali Hama about Cristen Stephansky: Senior Notice Program Manager 9/8/20 0.5 350.00 $175.00 declaration and revised media estimate. Cristen Stephansky: Senior Notice Program Manager 9/8/20 Call with Sali Hama to discuss revised media estimate. 0.3 350.00 $105.00 Cristen Stephansky: Senior Notice Program Manager 9/8/20 Email vendor for updated translation rates. 0.1 350.00 $35.00 Cristen Stephansky: Senior Notice Program Manager 9/8/20 Review and edit the revised media estimate. 0.5 350.00 $175.00 Call with Shannon Wheatman, Cristen Stephansky, and Sali Hama about Elaine Pang: Media Planner 9/8/20 0.5 350.00 $175.00 declaration and revised media estimate. Elaine Pang: Media Planner 9/8/20 Email Shannon Wheatman media statistics for declaration. 1 350.00 $350.00 Elaine Pang: Media Planner 9/8/20 Revise media estimate based on feedback from Shannon Wheatman. 1 350.00 $350.00

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Elaine Pang: Media Planner 9/8/20 Proof media sections in Wheatman declaration. 0.5 350.00 $175.00 Elaine Pang: Media Planner 9/8/20 Call with Shannon Wheatman. 0.4 350.00 $140.00 Sali Hama: Senior Notice Program Manager 9/8/20 Review Wheatman declaration and provide missing mailing information. 5.5 350.00 $1,925.00 Sali Hama: Senior Notice Program Manager 9/8/20 Proof publication notice and provide feedback. 0.6 350.00 $210.00 Finalize media estimate (paid media, earned media, production and Sali Ham a: Senior Notice Program Manager 9/8/20 0.4 350.00 $140.00 mailing costs). Call with Elaine Pang, Shannon Wheatman, Cristen Stephansky to discuss Sali Hama: Senior Notice Program Manager 9/8/20 0.5 350.00 $175.00 Wheatman declaration. Sali Hama: Senior Notice Program Manager 9/8/20 Call with Cristen Stephansky to discuss revised media estimate. 0.3 350.00 $105.00 Shannon Wheatman: Notice Expert 9/8/20 Research and email additional court decisions to Linda Cantor. 0.3 600.00 $180.00 Shannon Wheatman: Notice Expert 9/8/20 Draft publication notice. 1.2 600.00 $720.00 Call with Cristen Stephansky, Sali Ham a and Elaine Pang to discuss media Shannon Wheatman: Notice Expert 9/8/20 0.5 600.00 $300.00 program. Shannon Wheatman: Notice Expert 9/8/20 Call with Elaine Pang. 0.4 600.00 $240.00 Shannon Wheatman: Notice Expert 9/8/20 Call with Linda Cantor. 1 600.00 $600.00 Shannon Wheatman: Notice Expert 9/8/20 Review and edit Committee's Publication Proposal. 0.9 600.00 $540.00 Shannon Wheatman: Notice Expert 9/8/20 Revise declaration based on feedback. 1.4 600.00 $840.00 Shannon Wheatman: Notice Expert 9/8/20 Request mailing rate information for postcards. 0.2 600.00 $120.00 Elaine Pang: Media Planner 9/9/20 Confirm community newspapers are still publishing. 1 350.00 $350.00 Elaine Pang: Media Planner 9/9/20 Work on media schedule with March deadline. 1 350.00 $350.00 Sali Hama: Senior Notice Program Manager 9/9/20 Review Debtor's revised Publication plan. 1.2 350.00 $420.00 Sali Ham a: Senior Notice Program Manager 9/9/20 Final proof of Wheatman declaration and finalize exhibits. 4.8 350.00 $1,680.00 Shannon Wheatman: Notice Expert 9/9/20 Proof and edit declaration. 1.1 600.00 $660.00 Shannon Wheatman: Notice Expert 9/9/20 Review Committee's feedback to declaration. 0.4 600.00 $240.00 Shannon Wheatman: Notice Expert 9/9/20 Revise declaration based on feedback. 0.8 600.00 $480.00 Shannon Wheatman: Notice Expert 9/9/20 Revise publication notice based on feedback. 0.7 600.00 $420.00 Elaine Pang: Media Planner 9/10/20 Call with Shannon Wheatman about media program. 0.6 350.00 $210.00 Sali Hama: Senior Notice Program Manager 9/10/20 Create notice program schedule. 0.6 350.00 $210.00 Shannon Wheatman: Notice Expert 9/10/20 Call with Elaine Pang about media program. 0.6 600.00 $360.00 Shannon Wheatman: Notice Expert 9/10/20 Call with Linda Cantor and Gillian Brown. 0.5 600.00 $300.00 Shannon Wheatman: Notice Expert 9/10/20 Review media schedule. 0.3 600.00 $180.00 Shannon Wheatman: Notice Expert 9/10/20 Finalize publication notice for court submission. 0.8 600.00 $480.00 Shannon Wheatman: Notice Expert 9/10/20 Finalize and execute declaration. 1.2 600.00 $720.00 Shannon Wheatman: Notice Expert 9/10/20 Review Proof of Claim and Abuse Bar Date Claim Notice. 0.5 600.00 $300.00 Elaine Pang: Media Planner 9/15/20 Analyze the revised Debtors Publication plan. 1 350.00 $350.00 Shannon Wheatman: Notice Expert 9/15/20 Review Debtor's Reply Brief. 2.2 600.00 $1,320.00 Elaine Pang: Media Planner 9/16/20 Call with Shannon Wheatman about Debtor's revised Publication plan. 0.8 350.00 $280.00 Review comparison chart re the Debtor's Revised Publication Plan to KM 's Sali Hama: Senior Notice Program Manager 9/16/20 0.2 350.00 $70.00 alternative plan. Shannon Wheatman: Notice Expert 9/16/20 Review reach and frequency of Debtor's revised publication plan. 0.7 600.00 $420.00 Create chart comparing Debtor's revised plan and alternative plan with TV Shannon Wheatman: Notice Expert 9/16/20 0.9 600.00 $540.00 and higher reach. Shannon Wheatrnan: Notice Expert 9/16/20 Email Linda Cantor and Jim Stang with recommendations. 0.3 600.00 $180.00 Shannon Wheatman: Notice Expert 9/16/20 Call with Linda Cantor. 0.6 600.00 $360.00 Shannon Wheatman: Notice Expert 9/16/20 Call with Elaine Pang about Debtor's revised Publication plan. 0.8 600.00 $480.00 Shannon Wheatman: Notice Expert 9/17/20 Attend Court hearing. 4.5 600.00 $2,700.00 Elaine Pang: Media Planner 9/18/20 Call with Shannon Wheatman about alternative plan. 0.8 350.00 $280.00 Sali Hama: Senior Notice Program Manager 9/18/20 Review emails re Reply to Bar Date Objection. 0.4 350.00 $140.00 Shannon Wheatman: Notice Expert 9/18/20 Review radio costs and reach. 0.3 600.00 $180.00 Shannon Wheatman: Notice Expert 9/18/20 Review alternative media program including TV and radio. 0.5 600.00 $300.00 Shannon Wheatman: Notice Expert 9/18/20 Call with Linda Cantor and Rick Kuebel. 1.3 600.00 $780.00 Shannon Wheatman: Notice Expert 9/18/20 Call with Elaine Pang about alternative plan. 0.8 600.00 $480.00 Elaine Pang: Media Planner 9/21/20 Analyze how high reach could be without TV in the plan. 1 350.00 $350.00 Elaine Pang: Media Planner 9/21/20 Call with Shannon Wheatman about media program. 1.1 350.00 $385.00 Sali Hama: Senior Notice Program Manager 9/21/20 Review emails re Reply to Bar Date Objection. 0.1 350.00 $35.00 Shannon Wheatman: Notice Expert 9/21/20 Call with Laura Ashley, Earhardt Group, and Linda Cantor. 0.5 600.00 $300.00 Shannon Wheatman: Notice Expert 9/21/20 Call with Elaine Pang about media program. 1.1 600.00 $660.00 Shannon Wheatman: Notice Expert 9/21/20 Call with Linda Cantor. 0.6 600.00 $360.00 Elaine Pang: Media Planner 9/23/20 Redo plan based on client feedback without magazines. 1.5 350.00 $525.00 Elaine Pang: Media Planner 9/23/20 Evaluate Debtors revised Publication plan. 2 350.00 $700.00 Elaine Pang: Media Planner 9/23/20 Call with Shannon Wheatman about Debtor's revised Publication plan. 0.7 350.00 $245.00 Shannon Wheatman: Notice Expert 9/23/20 Review Debtor's Revised Publication Plan. 2.1 600.00 $1,260.00

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Shannon Wheatman: Notice Expert 9/23/20 Call with Linda Cantor and Rick Kuebel. 0.9 600.00 $540.00 Shannon Wheatman: Notice Expert 9/23/20 Call with Elaine Pang about Debtor's revised Publication plan. 0.7 600.00 $420.00 Shannon Wheatman: Notice Expert 9/23/20 Email questions to Linda Cantor about Debtor's revised Publication plan. 0.3 600.00 $180.00 Shannon Wheatman: Notice Expert 9/23/20 Review revised bar date order. 0.4 600.00 $240.00 Shannon Wheatman: Notice Expert 9/23/20 Provide feedback on Debtor's revised Publication plan. 0.6 600.00 $360.00 Elaine Pang: Media Planner 9/24/20 Analyze and research TV deliveries on Debtors revised Publication plan. 1 350.00 $350.00 Elaine Pang: Media Planner 9/24/20 Call with Shannon Wheatman about Debtor's revised plan. 0.3 350.00 $105.00 Sali Hama: Senior Notice Program Manager 9/24/20 Review emails re Reply to Bar Date Objection (TV questions). 0.1 350.00 $35.00 Shannon Wheatman: Notice Expert 9/24/20 Review edits to Abuse Claim Bar Date Notice. 0.3 600.00 $180.00 Shannon Wheatman: Notice Expert 9/24/20 Revise publication notice based on feedback. 1.1 600.00 $660.00 Shannon Wheatman: Notice Expert 9/24/20 Emails Linda Cantor about Committee's website. 0.4 600.00 $240.00 Shannon Wheatman: Notice Expert 9/24/20 Attend Court hearing. 0.2 600.00 $120.00 Shannon Wheatman: Notice Expert 9/24/20 Review revised bar date order. 0.4 600.00 $240.00 Shannon Wheatman: Notice Expert 9/24/20 Call with Elaine Pang about Debtor's revised Publication plan. 0.3 600.00 $180.00 Shannon Wheatman: Notice Expert 9/24/20 Call with Linda Cantor. 0.9 600.00 $540.00 Shannon Wheatman: Notice Expert 9/24/20 Call with Linda Cantor and Rick Kuebel. 0.9 600.00 $540.00 Shannon Wheatman: Notice Expert 9/24/20 Email questions to Linda Cantor about Debtor's revised plan. 0.5 600.00 $300.00 Email Rust Consulting about Committee website design, hosting, and Shannon Wheatman: Notice Expert 9/24/20 0.2 600.00 $120.00 management. Elaine Pang: Media Planner 9/25/20 Research newspaper circulation for Texas and Mississippi. 0.2 350.00 $70.00 Shannon Wheatman: Notice Expert 9/25/20 Draft Exhibit G (Publication Plan). 1.7 600.00 $1,020.00 Shannon Wheatman: Notice Expert 9/25/20 Call with Linda Cantor. 0.3 600.00 $180.00 Shannon Wheatman: Notice Expert 9/25/20 Call with Laura Ashley, Claim's Agent, and Linda Cantor. 0.9 600.00 $540.00 Shannon Wheatman: Notice Expert 9/25/20 Revise draft Exhibit G (Publication Plan). 0.5 600.00 $300.00 Shannon Wheatman: Notice Expert 9/25/20 Revise publication notice based on feedback. 0.7 600.00 $420.00 Shannon Wheatman: Notice Expert 9/28/20 Review Debtor's Reply to Publication Plan questions. 0.5 600.00 $300.00 Shannon Wheatman: Notice Expert 9/28/20 Call with Laura Ashley, Earhardt Group, and Rick Kuebel. 0.8 600.00 $480.00 Provide deliverables to Shannon Wheatman re revised Publication plan Sali Hama: Senior Notice Program Manager 9/29/20 0.2 350.00 $70.00 update. Shannon Wheatman: Notice Expert 9/29/20 Email to Laura Ashely about email lists and online frequency cap. 0.2 600.00 $120.00 Elaine Pang: Media Planner 9/30/20 Evaluate Debtors revised Publication plan. 3 350.00 $1,050.00 Elaine Pang: Media Planner 9/30/20 Call with Shannon Wheatman. 0.7 350.00 $245.00 Shannon Wheatman: Notice Expert 9/30/20 Call with Laura Ashley, EarhardtGroup, and Linda Cantor. 0.2 600.00 $120.00 Shannon Wheatman: Notice Expert 9/30/20 Calls with Linda Cantor. 1 600.00 $600.00 Shannon Wheatman: Notice Expert 9/30/20 Call with Elaine Pang. 0.7 600.00 $420.00 Shannon Wheatman: Notice Expert 9/30/20 Review Earhardt edits to Exhibit G (Publication Plan). 0.8 600.00 $480.00 65,370.00

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EXHIBIT B

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IN THE UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF LOUISIANA In re: Case No. 20-10846 THE ROMAN CATHOLIC CHURCH Section "A" OF THE ARCHDIOCESE OF NEW ORLEANS, Chapter 11 Debtor. 1 Objection Deadline: December 8, 2020 MONTHLY FEE AND EXPENSE STATEMENT OF KINSELLA MEDIA, LLC FOR THE PERIOD OCTOBER 1, 2020 THROUGH OCTOBER 31, 2020 1. In accordance with Section XIll(B) of the Court's December 4, 2019 General Order Regarding Procedures for Complex Chapter 11 Cases (the "Complex Case Order"), Kinsella Media, LLC ("Kinsella"), as expert media consultant to the Official Committee of Unsecured Creditors (the "Committee") in this Chapter 11 case concerning the above captioned debtor and debtor-in-possession (the "Debtor") hereby submits its Monthly Fee and Expense Statement (the "Statement") for the period from October 1, 2020 through October 31, 2020 (the "Statement Period") for the above-styled Chapter 11 bankruptcy case (collectively, the "Bankruptcy Case"). ITEMIZATION OF SERVICES RENDERED AND EXPENSES INCURRED 2. The Kinsella timekeepers (collectively, the "Timekeepers") who rendered services to the Committee in connection with the Bankruptcy Case during the Statement Period, including the hourly rate, title, and fees earned by each Timekeeper, is attached hereto as Exhibit A. 3. Kinsella did not incur any expenses during the Statement Period. 1 The last four digits of the Debtor's federal tax identification number are 8966. The Debtor's principal place of business is located at 7887 Walmsley Ave., New Orleans, LA 70125. DOCS_SF: 104585.1 05067/002

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4. The detailed time records of Kinsella for the Statement Period are attached hereto as Exhibit B. s: ', In addition, under separate cover, the detailed time records under Exhibit B will be sent to the Office of the United States Trustee in the LED ES format. As of the date hereof, Kinsella has received $55,796.00 on account of 80% fees and $3,500 in expenses for its first montlhy fee statement. TOTAL FEES AND EXPENSES SOUGHT FOR THE STATEMENT PERIOD 6. The total amounts sought for fees for professional services rendered and reimbursement of expenses incurred for the Statement Period are as follows: October 1, 2020 to October 31, 2020 Fees (a t standard rates): $ 10,620.00 Expenses $ 0.00 Total $ 10,620.00 VOLUNTARY REDUCTIONS 7. Kinsella did not make any reductions to any fees or expenses incurred during the Statement Period. NOTICE AND OBJECTION PROCEDURES 8. In accordance with the Interim Compensation Order, notice of the Statement has been served upon the following parties ("Notice Parties") as required by the Complex Case Order: (i) counsel for the Debtor, Mark Mintz, Esq., Jones Walker LLP, 201 St. Charles Ave, New Orleans, LA 70170-5100; (ii) counsel for the prepetition secured lender, Hancock Whitney Bank, David F. Waguespack, Esq., Carver, Darden, Koretzky, Tessier, Finn, Blossman & Areaux, L.L.C., 1100 Poydras Street, Suite 3100, New Orleans, Louisiana 70163-1102; (iii) KS State Bank, 2 DOCS SF 104585,1 05067/002

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1010 Westloop, P.O. Box 69, Manhattan KS 66505-0069; (iv) Dell Financial Svc LP, Mail Stop P82DF, 23 One Dell Way, Round Rock TX 78682; (v) David S. Rubin, Butler Snow LLP, 445 North Boulevard, Suite 300, Baton Rouge, LA 70802; (vi) Colleen Murphy, Greenberg Traurig, One International Place, Suite 2000, Boston, MA 0211 O; (vii) Annette Jarvis, Greenberg Traurig, 222 S. Main Street, Fifth Floor, Salt Lake City, UT 84101; and (viii) Amanda George, Esq., Office of The United States Trustee, 400 Poydras Street, Suite 2110, New Orleans, LA 70130. 9. Also pursuant to the Complex Case Order, any objections to this Statement must be asserted on or before December 8, 2020 (the "Objection Deadline"), setting forth the nature of the objection and the specific amount of fees or expenses at issue. 10. If no objections to the Statement are received on or before the Objection Deadline, the Debtor, pursuant to the Complex Case Order, is authorized to pay Kinsella on an interim basis the total amount of $8,496.00 which consists of eighty percent (80%) of Kinsella's total fees of $10,620.00 for the Statement Period. 11. To the extent an objection to the Statement is received on or before the Objection Deadline, the Debtor is to withhold payment of that portion of the Statement to which the objection is directed and will promptly pay the remainder of the fees and disbursements in the percentages set forth above. To the extent such objection is not resolved, it shall be preserved and scheduled for consideration at the next interim fee application hearing. 3 DOCS_SF 104585.1 05067/002

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Dated: November 24, 2020 Respectfully submitted, By: Isl Linda Cantor James I. Stang (CA Bar No. 94435) Linda F. Cantor (CA Bar No.153762) Pachulski Stang Ziehl & Jones LLP 10 l 00 Santa Monica Blvd., Suite 1300 Los Angeles, CA 90067 Telephone: (310)-277-6910 Facsimile: (310)-201-0760 Email: jstang@pszjlaw.com lcantor@pszjlaw.com Co-Counsel to the Official Committee of Unsecured Creditors 4 DOCS_SF 104585.1 05067/002

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EXHIBIT A (October Fees) DOCS_SF 104585.1 05067/002

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COMPENSATION BY TIMEKEEPER DURING COMPENSATION PERIOD OCTOBER 1, 2020 THROUGH OCTOBER 31, 2020 -·-······ -- Name Title Rate Hours Amount ·-·············--·- ------ Shannon Wheatman President $600 13.5 $8,100.00 Elaine Pang Media $350 2.4 $840.00 Planner Sali Hama Senior Notice $350 4.8 $1,680 Program Manager --- 20.7 $10,620.00 DOCS_SF 104585.1 05067/002

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EXHIBITB (October Invoice) DOCS_SF:104585.105067/002

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INVOICE # 5085 MEDIA An Exela Technologies Brand Archdiocese of New Orleans Bankruptcy Bi11To: Job: 4142 Linda Cantor Invoice Date: 11/4/2020 Pachulski Stang Ziehl & Jones LLP Due Date: 12/4/2020 10100 Santa Monica Blvd, 13th Floor Los Angeles, CA 90067 Hours for the period 10/1/20 -10/31/20 Hours Worked Hourly Rate Total Elaine Pang: Media Planner 2.4 $350.00 $840.00 Sali Hama: Senior Notice Program Manager 4.8 $350.00 $1,680.00 Shannon Wheatman: President 13.5 $600.00 $8,100.00 Sub-Total: $10,620.00 Current Total Due $10,620.00 Payment Instructions Wire Payment to: ABA/Routing # (Wire or ACH): 111014325 Account#: 8093434387 Account Name: Kinsella Media TIN: 52-2301194 SWIFT Code: BAOKUS44 Reference#: 5085 Bank: Bank of Texas Bank Address: 5956 Sherry Lane, Suite 600 Dallas, TX 75225 Bank Contact: Claudia Flores -214.987.8817 Or Overnight Payment to: Exela Technologies Attn:Bldgl,Drawer9065 2701EGrauwylerRd Irving, TX 75061

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.. . . .. , .. •· . ""' '"" Elaine Pang: Media Planner 10/1/20 Review Debtor's TV schedule. 1 350.00 $350,00 Shannon Wheatman: President 10/1/20 Review information from Elaine Pang on TV day part mix. 0.4 600.00 $240.00 Email recommendations on TV day part mix and budget allocation to Shannon Wheatman: President 10/2/20 1.1 600.00 $660.00 Laura Ashley and Linda Cantor. Provide information to Shannon Wheatman on Vietnamese and Spanish Elaine Pang: Media Planner 10/8/20 0.2 350.00 $70.00 online media. Review information from Elaine Pang on Spanish and Vietnamese online Shannon Wheatman: President 10/8/20 0.1 600.00 $60.00 media. Email response on media questions to Laura Ashley, Linda Cantor, and Shannon Wheatman: President 10/8/20 1.3 600.00 $780.00 Earhardt Group. Shannon Wheatman: President 10/8/20 Review and suggest edits to letter to creditors. 0.4 600.00 $240.00 Review TV script and draft digital ads and outreach/catholic households Sali Hama: Senior Notice Program Manager 10/9/20 emails. 3.1 350.00 $1,085.00 Letter for community outreach to Prisons and Churches. Shannon Wheatman: President 10/9/20 Draft TV script and review edits from Linda Cantor on language. 0.9 600.00 $540.00 Shannon Wheatman: President 10/12/20 Edit drafts ofoutreach/catholic household emails and digital ads. 3.6 600.00 $2,160.00 Review Debtor's media options/flowchart and provide comments to Elaine Pang: Media Planner 10/13/20 1 350.00 $350.00 Shannon Wheatman. Shannon Wheatman: President 10/13/20 Review media flowcharts from Earhardt Group. 0.6 600.00 $360.00 Email Laura Ashley, Linda Cantor, and Earhardt Group response to Shannon Wheatman: President 10/13/20 0,5 600.00 $300.00 question on media. Shannon Wheatman: President 10/14/20 Review revised media flowcharts from Earhardt Group. 0,3 600.00 $180.00 Review publication notice ad sizes and request layout from production Sali Hama: Senior Notice Program Manager 10/15/20 0.6 350.00 $210.00 team. Review Committee edits to outreach/catholic household emails and Shannon Wheatman: President 10/15/20 0.8 600.00 $480.00 digital ads. Email drafts ofTV script, outreach/catholic household emails and digital Shannon Wheatman: President 10/15/20 0.3 600.00 $180.00 ads to Laura Ashley and Earhardt Group, Elaine Pang: Media Planner 10/16/20 Draft keyword ads. 0.2 350.00 $70,00 Sali Hama: Senior Notice Program Manager 10/16/20 Review keyword ads. 0.5 350.00 $175.00 Shannon Wheatman: President 10/16/20 Review draft keyword ads. 0.3 600.00 $180.00 Shannon Wheatman: President 10/19/20 Email draft keyword ads to Laura Ashley and Earhardt Group. 0.2 600.00 $120.00 Review client email from Andrew Morris re campaign flow chart Sali Hama: Senior Notice Program Manager 10/21/20 0.3 350.00 $105.00 (publication notice ad sizes). Review client email from Laura Ashley re television ad and provide Sali Hama: Senior Notice Program Manager 10/21/20 0.1 350.00 $35.00 example spot Shannon Wheatman: President 10/21/20 Review Earhardt Group's media flowchart and respond to their questions. 0.7 600.00 $420.00 Shannon Wheatman: President 10/21/20 Email Laura Ashley response to question on TV creative, 0.3 600.00 $180.00 Shannon Wheatman: President 10/24/20 Create word version of publication notice. 0.2 600.00 $120.00 Shannon Wheatman: President 10/24/20 Update layout for publication notice. 0.4 600.00 $240.00 Shannon Wheatman: President 10/24/20 Email Linda Cantor about non-debtor entities in abuse claims notice. 0.3 600.00 $180.00 Shannon Wheatman: President 10/24/20 Review edits from Debtor on publication notice, emails, digital ads, 0.8 600.00 $480.00 Sali Hama: Senior Notice Program Manager 10/28/20 Review client edits re publication notice. 0.2 350.00 $70.00 10,620.00

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EXHIBIT C

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IN THE UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF LOUISIANA In re: Case No. 20-10846 THE ROMAN CATHOLIC CHURCH Section “A” OF THE ARCHDIOCESE OF NEW ORLEANS, Chapter 11 Debtor. 1 Objection Deadline: February 4, 2021 MONTHLY FEE AND EXPENSE STATEMENT OF KINSELLA MEDIA, LLC FOR THE PERIOD NOVEMBER 1, 2020 THROUGH NOVEMBER 30, 2020 1. In accordance with Section XIII(B) of the Court’s December 4, 2019 General Order Regarding Procedures for Complex Chapter 11 Cases (the “Complex Case Order”), Kinsella Media, LLC (“Kinsella”), as expert media consultant to the Official Committee of Unsecured Creditors (the “Committee”) in this Chapter 11 case concerning the above captioned debtor and debtor-in-possession (the “Debtor”) hereby submits its Monthly Fee and Expense Statement (the “Statement”) for the period from November 1, 2020 through November 30, 2020 (the “Statement Period”) for the above-styled Chapter 11 bankruptcy case (collectively, the “Bankruptcy Case”). ITEMIZATION OF SERVICES RENDERED AND EXPENSES INCURRED 2. The Kinsella timekeepers (collectively, the “Timekeepers”) who rendered services to the Committee in connection with the Bankruptcy Case during the Statement Period, including the hourly rate, title, and fees earned by each Timekeeper, is attached hereto as Exhibit A. 3. Kinsella did not incur any expenses during the Statement Period. 1 The last four digits of the Debtor’s federal tax identification number are 8966. The Debtor’s principal place of business is located at 7887 Walmsley Ave., New Orleans, LA 70125.

42

4. The detailed time records of Kinsella for the Statement Period are attached hereto as Exhibit B. 5. In addition, under separate cover, the detailed time records under Exhibit B will be sent to the Office of the United States Trustee in the LEDES format. As of the date hereof, Kinsella has received the following payments for fees and expenses incurred from the Debtors’ estates post-petition: $79,990.00.2 TOTAL FEES AND EXPENSES SOUGHT FOR THE STATEMENT PERIOD 6. The total amounts sought for fees for professional services rendered and reimbursement of expenses incurred for the Statement Period are as follows:
Table 1 on page 43. Back to List of Tables
November 1, 2020 to November 30, 2020 None
Fees (at standard rates): $8,687.50
Expenses $0.00
Total $8,687.50
VOLUNTARY REDUCTIONS 7. Kinsella did not make any reductions to any fees or expenses incurred during the Statement Period. 2On November 25, 2020, Kinsella filed its First Interim Application for Allowance and Payment of Compensation and Reimbursement of Expenses of Kinsella Media, LLC as Expert Noticing Consultant to the Official Committee of Unsecured Creditors for the Period from August 31, 2020 through October 31, 2020 (the “First Interim Application”) [Docket No. 565], seeking interim approval of its prior monthly fee statements which covered the period August 31, 2020 through October 31, 2020. By order entered on December 18, 2020 [Docket No. 674], the First Interim Application was approved on an interim basis in the amount of $79,990.00, consisting of fees in the amount of $75,990.00 and expenses in the amount of $3,500.00.

43

NOTICE AND OBJECTION PROCEDURES 8. In accordance with the Interim Compensation Order, notice of the Statement has been served upon the following parties (“Notice Parties”) as required by the Complex Case Order: (i) counsel for the Debtor, Mark Mintz, Esq., Jones Walker LLP, 201 St. Charles Ave, New Orleans, LA 70170-5100; (ii) counsel for the prepetition secured lender, Hancock Whitney Bank, David F. Waguespack, Esq., Carver, Darden, Koretzky, Tessier, Finn, Blossman & Areaux, L.L.C., 1100 Poydras Street, Suite 3100, New Orleans, Louisiana 70163-1102; (iii) KS State Bank, 1010 Westloop, P.O. Box 69, Manhattan KS 66505-0069; (iv) Dell Financial Svc LP, Mail Stop P82DF, 23 One Dell Way, Round Rock TX 78682; (v) David S. Rubin, Butler Snow LLP, 445 North Boulevard, Suite 300, Baton Rouge, LA 70802; (vi) Colleen Murphy, Greenberg Traurig, One International Place, Suite 2000, Boston, MA 02110; (vii) Annette Jarvis, Greenberg Traurig, 222 S. Main Street, Fifth Floor, Salt Lake City, UT 84101; and (viii) Amanda George, Esq., Office of The United States Trustee, 400 Poydras Street, Suite 2110, New Orleans, LA 70130. 9. Also pursuant to the Complex Case Order, any objections to this Statement must be asserted on or before February 4, 2021 (the “Objection Deadline”), setting forth the nature of the objection and the specific amount of fees or expenses at issue. 10. If no objections to the Statement are received on or before the Objection Deadline, the Debtor, pursuant to the Complex Case Order, is authorized to pay Kinsella on an interim basis the total amount of $6,950.00 which consists of eighty percent (80%) of Kinsella’s total fees of $8,687.50 for the Statement Period. 11. To the extent an objection to the Statement is received on or before the Objection Deadline, the Debtor is to withhold payment of that portion of the Statement to which the objection is directed and will promptly pay the remainder of the fees and disbursements in the

44

percentages set forth above. To the extent such objection is not resolved, it shall be preserved and scheduled for consideration at the next interim fee application hearing. Dated: January 21, 2021 Respectfully submitted, By: /s/ Linda Cantor James I. Stang (CA Bar No. 94435) Linda F. Cantor (CA Bar No.153762) Pachulski Stang Ziehl & Jones LLP 10100 Santa Monica Blvd., Suite 1300 Los Angeles, CA 90067 Telephone: (310)-277-6910 Facsimile: (310)-201-0760 Email: jstang@pszjlaw.com lcantor@pszjlaw.com Co-Counsel to the Official Committee of Unsecured Creditors

45

EXHIBIT A (November Fees)

46

COMPENSATION BY TIMEKEEPER DURING COMPENSATION PERIOD NOVEMBER 1, 2020 THROUGH NOVEMBER 30, 2020
Table 1 on page 47. Back to List of Tables
Name Title Rate Hours Amount
Shannon Wheatman President $600 7.30 $4,380.00
Elaine Pang Media
Planner
$350 1.10 $385.00
Sali Hama Senior Notice
Program
Manager
$350 7.10 $2,485.00
Lissa Studell Graphic
Designer
$125.00 11.50 $1,437.50
27.00 $8,687.50

47

EXHIBIT B (November Invoice)

48

INVOICE # 5089 Archdiocese of New Orleans Bankruptcy Bill To: Job: 4142 Linda Cantor Invoice Date: 12/4/2020 Pachulski Stang Ziehl & Jones LLP Due Date: 1/4/2021 10100 Santa Monica Blvd, 13th Floor Los Angeles, CA 90067 Hours for the period 11/1/20 - 11/30/20 Hours Worked Hourly Rate TotalElaine Pang: Media Planner 1.1 $350.00 $385.00 Lissa Studell: Graphic Designer 11.5 $125.00 $1,437.50 Sali Hama: Senior Notice Program Manager 7.1 $350.00 $2,485.00Shannon Wheatman: President 7.3 $600.00 $4,380.00 Sub-Total: $8,687.50 Current Total Due $8,687.50 Payment Instructions Wire Payment to: ABA/Routing # (Wire or ACH): 111014325 Account #: 8093434332 Account Name: Kinsella Media TIN: 52-2301194 SWIFT Code: BAOKUS44 Reference #: 5089 Bank: Bank of Texas Bank Address: 5956 Sherry Lane, Suite 600 Dallas, TX 75225 Bank Contact: Claudia Flores - 214.987.8817 Or Overnight Payment to: Exela Technologies Attn:Bldg1,Drawer9065 2701EGrauwylerRd Irving, TX 75061

49

Sali Hama: Senior Notice Program Manager 11/2/20 Update publication notice with client revisions and provide final files. 0.5 350.00 $175.00Shannon Wheatman: President 11/2/20 Review Debtor's edits to notice materials. 1.8 600.00 $1,080.00Shannon Wheatman: President 11/2/20 Provide edits to digital ads. 0.3 600.00 $180.00Shannon Wheatman: President 11/3/20 Revise publication notice layout with final edits. 0.6 600.00 $360.00Lissa Studell: Graphic Designer 11/4/20 Lay out publication notices for print media. 2.6 125.00 $325.00Sali Hama: Senior Notice Program Manager 11/4/20 Finalize publication notice files and send layout request to Lissa Studell. 0.5 350.00 $175.00Elaine Pang: Media Planner 11/5/20 Review Debtors TV schedule. 0.4 350.00 $140.00Lissa Studell: Graphic Designer 11/5/20 Continue to lay out publication notices for print media. 0.6 125.00 $75.00Sali Hama: Senior Notice Program Manager 11/6/20 Review initial laid-out publication notice and provide edits to Lissa Studell. 0.3 350.00 $105.00Sali Hama: Senior Notice Program Manager 11/6/20 Call with Shannon Wheatman re publication notice edits. 0.2 350.00 $70.00Shannon Wheatman: President 11/6/20 Call with Sali Hama re publication notice edits. 0.2 600.00 $120.00Lissa Studell: Graphic Designer 11/9/20 Continue to lay out publication notices for print media. 2 125.00 $250.00Lissa Studell: Graphic Designer 11/10/20 Continue to lay out publication notices for print media. 4.3 125.00 $537.50Sali Hama: Senior Notice Program Manager 11/10/20 Review completed layouts and provide revisions. 1.8 350.00 $630.00Lissa Studell: Graphic Designer 11/11/20 Continue to lay out publication notices for print media. 1.8 125.00 $225.00Sali Hama: Senior Notice Program Manager 11/11/20 Continue to review completed layouts and provide revisions. 2.3 350.00 $805.00Elaine Pang: Media Planner 11/16/20 Reviewed and edit social media ads 0.7 350.00 $245.00Lissa Studell: Graphic Designer 11/16/20 Continue to lay out publication notices for print media. 0.2 125.00 $25.00Sali Hama: Senior Notice Program Manager 11/16/20 Continue to review completed layouts and provide revisions. 0.7 350.00 $245.00Sali Hama: Senior Notice Program Manager 11/16/20 Review social media ad copy from Andrew Morris. 0.2 350.00 $70.00Shannon Wheatman: President 11/16/20 Review edits to social media ads. 0.4 600.00 $240.00Shannon Wheatman: President 11/16/20 Respond to email questions from Earhardt Group. 0.3 600.00 $180.00Shannon Wheatman: President 11/16/20 Review ad layouts for newspapers. 2.6 600.00 $1,560.00Sali Hama: Senior Notice Program Manager 11/18/20 Review produced television spot. 0.2 350.00 $70.00Shannon Wheatman: President 11/18/20 Review TV spot and provide feedback to Linda Cantor. 0.3 600.00 $180.00Shannon Wheatman: President 11/19/20 Review and edit social media ads. 0.2 600.00 $120.00Shannon Wheatman: President 11/19/20 Provide Earhardt Group with direction on prison email lists. 0.2 600.00 $120.00Shannon Wheatman: President 11/23/20 Review digital banner ad creative. 0.4 600.00 $240.008,687.50

50

EXHIBIT D

51

IN THE UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF LOUISIANA In re: Case No. 20-10846 THE ROMAN CATHOLIC CHURCH Section “A” OF THE ARCHDIOCESE OF NEW ORLEANS, Chapter 11 Debtor. 1 Objection Deadline: February 4, 2021 MONTHLY FEE AND EXPENSE STATEMENT OF KINSELLA MEDIA, LLC FOR THE PERIOD DECEMBER 1, 2020 THROUGH DECEMBER 31, 2020 1. In accordance with Section XIII(B) of the Court’s December 4, 2019 General Order Regarding Procedures for Complex Chapter 11 Cases (the “Complex Case Order”), Kinsella Media, LLC (“Kinsella”), as expert media consultant to the Official Committee of Unsecured Creditors (the “Committee”) in this Chapter 11 case concerning the above captioned debtor and debtor-in-possession (the “Debtor”) hereby submits its Monthly Fee and Expense Statement (the “Statement”) for the period from December 1, 2020 through December 31, 2020 (the “Statement Period”) for the above-styled Chapter 11 bankruptcy case (collectively, the “Bankruptcy Case”). ITEMIZATION OF SERVICES RENDERED AND EXPENSES INCURRED 2. The Kinsella timekeepers (collectively, the “Timekeepers”) who rendered services to the Committee in connection with the Bankruptcy Case during the Statement Period, including the hourly rate, title, and fees earned by each Timekeeper, is attached hereto as Exhibit A. 3. Kinsella did not incur any expenses during the Statement Period. 1 The last four digits of the Debtor’s federal tax identification number are 8966. The Debtor’s principal place of business is located at 7887 Walmsley Ave., New Orleans, LA 70125.

52

4. The detailed time records of Kinsella for the Statement Period are attached hereto as Exhibit B. 5. In addition, under separate cover, the detailed time records under Exhibit B will be sent to the Office of the United States Trustee in the LEDES format. As of the date hereof, Kinsella has received the following payments for fees and expenses incurred from the Debtors’ estates post-petition: $79,990.002. TOTAL FEES AND EXPENSES SOUGHT FOR THE STATEMENT PERIOD 6. The total amounts sought for fees for professional services rendered and reimbursement of expenses incurred for the Statement Period are as follows:
Table 1 on page 53. Back to List of Tables
December 1, 2020 to December 31, 2020 None
Fees (at standard rates): $1,465.00
Expenses $0.00
Total $1,465.00
VOLUNTARY REDUCTIONS 7. Kinsella did not make any reductions to any fees or expenses incurred during the Statement Period. 2On November 25, 2020, Kinsella filed its First Interim Application for Allowance and Payment of Compensation and Reimbursement of Expenses of Kinsella Media, LLC as Expert Noticing Consultant to the Official Committee of Unsecured Creditors for the Period from August 31, 2020 through October 31, 2020 (the “First Interim Application”) [Docket No. 565], seeking interim approval of its prior monthly fee statements which covered the period August 31, 2020 through October 31, 2020. By order entered on December 18, 2020 [Docket No. 674], the First Interim Application was approved on an interim basis in the amount of $79,990.00, consisting of fees in the amount of $75,990.00 and expenses in the amount of $3,500.00.

53

NOTICE AND OBJECTION PROCEDURES 8. In accordance with the Interim Compensation Order, notice of the Statement has been served upon the following parties (“Notice Parties”) as required by the Complex Case Order: (i) counsel for the Debtor, Mark Mintz, Esq., Jones Walker LLP, 201 St. Charles Ave, New Orleans, LA 70170-5100; (ii) counsel for the prepetition secured lender, Hancock Whitney Bank, David F. Waguespack, Esq., Carver, Darden, Koretzky, Tessier, Finn, Blossman & Areaux, L.L.C., 1100 Poydras Street, Suite 3100, New Orleans, Louisiana 70163-1102; (iii) KS State Bank, 1010 Westloop, P.O. Box 69, Manhattan KS 66505-0069; (iv) Dell Financial Svc LP, Mail Stop P82DF, 23 One Dell Way, Round Rock TX 78682; (v) David S. Rubin, Butler Snow LLP, 445 North Boulevard, Suite 300, Baton Rouge, LA 70802; (vi) Colleen Murphy, Greenberg Traurig, One International Place, Suite 2000, Boston, MA 02110; (vii) Annette Jarvis, Greenberg Traurig, 222 S. Main Street, Fifth Floor, Salt Lake City, UT 84101; and (viii) Amanda George, Esq., Office of The United States Trustee, 400 Poydras Street, Suite 2110, New Orleans, LA 70130. 9. Also pursuant to the Complex Case Order, any objections to this Statement must be asserted on or before February 4, 2021 (the “Objection Deadline”), setting forth the nature of the objection and the specific amount of fees or expenses at issue. 10. If no objections to the Statement are received on or before the Objection Deadline, the Debtor, pursuant to the Complex Case Order, is authorized to pay Kinsella on an interim basis the total amount of $1,172.00 which consists of eighty percent (80%) of Kinsella’s total fees of $1,465.00 for the Statement Period. 11. To the extent an objection to the Statement is received on or before the Objection Deadline, the Debtor is to withhold payment of that portion of the Statement to which the

54

objection is directed and will promptly pay the remainder of the fees and disbursements in the percentages set forth above. To the extent such objection is not resolved, it shall be preserved and scheduled for consideration at the next interim fee application hearing. Dated: January 21, 2021 Respectfully submitted, By: /s/ Linda Cantor James I. Stang (CA Bar No. 94435) Linda F. Cantor (CA Bar No.153762) Pachulski Stang Ziehl & Jones LLP 10100 Santa Monica Blvd., Suite 1300 Los Angeles, CA 90067 Telephone: (310)-277-6910 Facsimile: (310)-201-0760 Email: jstang@pszjlaw.com lcantor@pszjlaw.com Co-Counsel to the Official Committee of Unsecured Creditors

55

EXHIBIT A (December Fees)

56

COMPENSATION BY TIMEKEEPER DURING COMPENSATION PERIOD DECEMBER 1, 2020 THROUGH DECEMBER 31, 2020
Table 1 on page 57. Back to List of Tables
Name Title Rate Hours Amount
Shannon Wheatman President $600 1.80 $1,080.00
Elaine Pang Media
Planner
$350 1.10 $385.00
2.90 $1,465.00

57

EXHIBIT B (December Invoice)

58

INVOICE # 5094 Archdiocese of New Orleans Bankruptcy Bill To: Job: 4142 Linda Cantor Invoice Date: 1/8/2021 Pachulski Stang Ziehl & Jones LLP Due Date: 2/7/2021 10100 Santa Monica Blvd, 13th Floor Los Angeles, CA 90067 Hours for the period 12/1/20 - 12/31/20 Hours Worked Hourly Rate TotalElaine Pang: Media Planner 1.1 $350.00 $385.00 Shannon Wheatman: President 1.8 $600.00 $1,080.00 Sub-Total: $1,465.00 Current Total Due $1,465.00 Payment Instructions Wire Payment to: ABA/Routing # (Wire or ACH): 111014325 Account #: 8093434332 Account Name: Kinsella Media TIN: 52-2301194 SWIFT Code: BAOKUS44 Reference #: 5094 Bank: Bank of Texas Bank Address: 5956 Sherry Lane, Suite 600 Dallas, TX 75225 Bank Contact: Claudia Flores - 214.987.8817 Or Overnight Payment to: Exela Technologies Attn:Bldg1,Drawer9065 2701EGrauwylerRd Irving, TX 75061

59

Shannon Wheatman: President 12/8/20 Review banner ads. 0.3 600.00 $180.00Shannon Wheatman: President 12/8/20 Review press release. 0.4 600.00 $240.00Elaine Pang: Media Planner 12/9/20 Review and provided feedback on banner ads. 1.1 350.00 $385.00Shannon Wheatman: President 12/9/20 Review revised banner ads. 0.5 600.00 $300.00Review Linda Cantor's email with response to fee application question Shannon Wheatman: President 12/12/20 0.3 600.00 $180.00 from UST. Shannon Wheatman: President 12/14/20 Review revised press release. 0.3 600.00 $180.001,465.00

60

EXHIBIT E

61

IN THE UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF LOUISIANA In re: Case No. 20-10846 THE ROMAN CATHOLIC CHURCH Section “A” OF THE ARCHDIOCESE OF NEW ORLEANS, Chapter 11 Debtor. 1 Objection Deadline: July 26, 2021 MONTHLY FEE AND EXPENSE STATEMENT OF KINSELLA MEDIA, LLC FOR THE PERIOD FEBRUARY 1, 2021 THROUGH FEBRUARY 28, 2021 1. In accordance with Section XIII(B) of the Court’s December 4, 2019 General Order Regarding Procedures for Complex Chapter 11 Cases (the “Complex Case Order”), Kinsella Media, LLC (“Kinsella”), as expert media consultant to the Official Committee of Unsecured Creditors (the “Committee”) in this Chapter 11 case concerning the above captioned debtor and debtor-in-possession (the “Debtor”) hereby submits its Monthly Fee and Expense Statement (the “Statement”) for the period from February 1, 2021 through February 28, 2021 (the “Statement Period”) for the above-styled Chapter 11 bankruptcy case (collectively, the “Bankruptcy Case”). ITEMIZATION OF SERVICES RENDERED AND EXPENSES INCURRED 2. The Kinsella timekeepers (collectively, the “Timekeepers”) who rendered services to the Committee in connection with the Bankruptcy Case during the Statement Period, including the hourly rate, title, and fees earned by each Timekeeper, is attached hereto as Exhibit A. 3. Kinsella did not incur any expenses during the Statement Period. 1 The last four digits of the Debtor’s federal tax identification number are 8966. The Debtor’s principal place of business is located at 7887 Walmsley Ave., New Orleans, LA 70125.

62

4. The detailed time records of Kinsella for the Statement Period are attached hereto as Exhibit B. 5. In addition, under separate cover, the detailed time records under Exhibit B will be sent to the Office of the United States Trustee in the LEDES format. 6. As of the date hereof, Kinsella has received the following payments for fees and expenses incurred from the Debtors’ estates post-petition: $103,184.00. TOTAL FEES AND EXPENSES SOUGHT FOR THE STATEMENT PERIOD 7. The total amounts sought for fees for professional services rendered and reimbursement of expenses incurred for the Statement Period are as follows:
Table 1 on page 63. Back to List of Tables
February 1, 2021 to February 28, 2021 None
Fees (at standard rates): $2,255.00
Expenses $0.00
Total $2,255.00
VOLUNTARY REDUCTIONS 8. Kinsella did not make any reductions to any fees or expenses incurred during the Statement Period. NOTICE AND OBJECTION PROCEDURES 9. In accordance with the Interim Compensation Order, notice of the Statement has been served upon the following parties (“Notice Parties”) as required by the Complex Case Order: (i) counsel for the Debtor, Mark Mintz, Esq., Jones Walker LLP, 201 St. Charles Ave, New Orleans, LA 70170-5100; (ii) counsel for the prepetition secured lender, Hancock Whitney Bank, David F. Waguespack, Esq., Carver, Darden, Koretzky, Tessier, Finn, Blossman & Areaux, L.L.C., 1100 Poydras Street, Suite 3100, New Orleans, Louisiana 70163-1102; (iii) KS State Bank,

63

1010 Westloop, P.O. Box 69, Manhattan KS 66505-0069; (iv) Dell Financial Svc LP, Mail Stop P82DF, 23 One Dell Way, Round Rock TX 78682; (v) David S. Rubin, Butler Snow LLP, 445 North Boulevard, Suite 300, Baton Rouge, LA 70802; (vi) Colleen Murphy, Greenberg Traurig, One International Place, Suite 2000, Boston, MA 02110; (vii) Annette Jarvis, Greenberg Traurig, 222 S. Main Street, Fifth Floor, Salt Lake City, UT 84101; and (viii) Amanda George, Esq., Office of The United States Trustee, 400 Poydras Street, Suite 2110, New Orleans, LA 70130. 10. Also pursuant to the Complex Case Order, any objections to this Statement must be asserted on or before July 26, 2021 (the “Objection Deadline”), setting forth the nature of the objection and the specific amount of fees or expenses at issue. 11. If no objections to the Statement are received on or before the Objection Deadline, the Debtor, pursuant to the Complex Case Order, is authorized to pay Kinsella on an interim basis the total amount of $1,804.00 which consists of eighty percent (80%) of Kinsella’s total fees of $1,804.00 for the Statement Period.

64

12. To the extent an objection to the Statement is received on or before the Objection Deadline, the Debtor is to withhold payment of that portion of the Statement to which the objection is directed and will promptly pay the remainder of the fees and disbursements in the percentages set forth above. To the extent such objection is not resolved, it shall be preserved and scheduled for consideration at the next interim fee application hearing. Dated: July 12, 2021 Respectfully submitted, By: /s/ Linda Cantor James I. Stang (CA Bar No. 94435) Linda F. Cantor (CA Bar No.153762) Pachulski Stang Ziehl & Jones LLP 10100 Santa Monica Blvd., Suite 1300 Los Angeles, CA 90067 Telephone: (310)-277-6910 Facsimile: (310)-201-0760 Email: jstang@pszjlaw.com lcantor@pszjlaw.com Co-Counsel to the Official Committee of Unsecure Creditors

65

EXHIBIT A (February Fees)

66

COMPENSATION BY TIMEKEEPER DURING COMPENSATION PERIOD FEBRUARY 1, 2021 THROUGH FEBRUARY 28, 2021
Table 1 on page 67. Back to List of Tables
Name Title Rate Hours Amount
Shannon Wheatman President $600 1.60 $960.00
Elaine Pang Media
Planner
$350 3.70 $1,295.00
5.30 $2,255.00

67

EXHIBIT B (February Invoice)

68

INVOICE # 6001 Archdiocese of New Orleans Bankruptcy Bill To: Job: 4142 Linda Cantor Invoice Date: 3/5/2021 Pachulski Stang Ziehl & Jones LLP Due Date: 4/4/2021 10100 Santa Monica Blvd, 13th Floor Los Angeles, CA 90067 Hours for the period 2/1/21 - 2/28/21 Hours Worked Hourly Rate TotalElaine Pang: Media Planner 3.7 $350.00 $1,295.00 Shannon Wheatman: President 1.6 $600.00 $960.00 Sub-Total: $2,255.00 Current Total Due $2,255.00 Payment Instructions Wire Payment to: ABA/Routing # (Wire or ACH): 111014325 Account #: 8093434332 Account Name: Kinsella Media TIN: 52-2301194 SWIFT Code: BAOKUS44 Reference #: 6001 Bank: Bank of Texas Bank Address: 5956 Sherry Lane, Suite 600 Dallas, TX 75225 Bank Contact: Claudia Flores - 214.987.8817 Or Overnight Payment to: Exela Technologies Attn: Bldg 1, Drawer 9065 2701 E Grauwyler Rd Irving, TX 75061

69

Shannon Wheatman: President 2/4/21 Email Linda Cantor information on requesting proofs of performance. 0.2 600.00 $120.00Elaine Pang: Media Planner 2/8/21 Review newspapers tearsheets. 2.5 350.00 $875.00Shannon Wheatman: President 2/8/21 Call with Davin Boldissar. 0.2 600.00 $120.00Elaine Pang: Media Planner 2/12/21 Confirm media proofs of performance. 1.2 350.00 $420.00Shannon Wheatman: President 2/12/21 Review media proofs of performance. 1.2 600.00 $720.002,255.00

70

EXHIBIT F

71

INVOICE # 6012 Archdiocese of New Orleans Bankruptcy Bill To: Job: 4142 Linda Cantor Invoice Date: 8/2/2021 Pachulski Stang Ziehl & Jones LLP Due Date: 9/1/2021 10100 Santa Monica Blvd, 13th Floor Los Angeles, CA 90067 Hours for the period 7/1/21 - 7/31/21 Hours Worked Hourly Rate TotalElaine Pang: Media Planner 2.7 $350.00 $945.00 Sali Hama: Senior Notice Program Manager 0.3 $350.00 $105.00Shannon Wheatman: President 2.9 $600.00 $1,740.00 Website Hosting (April to July) $1,100.00 Sub-Total: $3,890.00 Current Total Due $3,890.00 Payment Instructions Wire Payment to: ABA/Routing # (Wire or ACH): 111014325 Account #: 8093434332 Account Name: Kinsella Media TIN: 52-2301194 SWIFT Code: BAOKUS44 Reference #: 6012 Bank: Bank of Texas Bank Address: 5956 Sherry Lane, Suite 600 Dallas, TX 75225 Bank Contact: Claudia Flores - 214.987.8817 Or Overnight Payment to: Exela Technologies Attn: Bldg 1, Drawer 9065 2701 E Grauwyler Rd Irving, TX 75061

72

Shannon Wheatman: President 7/7/21 Review motion to extend bar date. 0.8 600.00 $480.00Call with Davin Boldissar about motion to extend bar date. Review Shannon Wheatman: President 7/9/21 0.4 600.00 $240.00 original bar date notice program. Call with Shannon Wheatman and Sali Hama about extended bar date Elaine Pang: Media Planner 7/12/21 0.3 350.00 $105.00 media recommendations. Elaine Pang: Media Planner 7/12/21 Review original implemented bar date media plan. 0.8 350.00 $280.00Elaine Pang: Media Planner 7/12/21 Put together initial media recommendations. 0.3 350.00 $105.00Draft comparison chart of media recommendations for extended bar Elaine Pang: Media Planner 7/12/21 1.3 350.00 $455.00 date and original bar date media program. Sali Hama: Senior Notice Program Call with Shannon Wheatman and Elaine Pang about extended bar 7/12/21 0.3 350.00 $105.00 Manager date media recommendations. Call with Elaine Pang and Sali Hama about extended bar date media Shannon Wheatman: President 7/12/21 0.3 600.00 $180.00 recommendations. Shannon Wheatman: President 7/12/21 Review media recommendations overview. 0.6 600.00 $360.00Finalize draft of media recommendations and email to Davin Shannon Wheatman: President 7/13/21 0.5 600.00 $300.00 Boldissar. Respond to email from Davin Boldissar about potential cost of Shannon Wheatman: President 7/14/21 0.3 600.00 $180.00 extended bar date media. 2,790.00

73

EXHIBIT G SUMMARY OF HOURS BILLED BY PROFESSIONALS AND PARAPROFESSIONALS NOVEMBER 1, 2020 THROUGH JULY 31, 2021
Table 1 on page 74. Back to List of Tables
Name Title Rate Hours
Shannon Wheatman Noticing Expert $600 13.60
Elaine Pang Media Planner $350 8.60
Sali Hama Senior Notice
Program Manager
$350 7.40
Lisa Studell Graphic Designer $125.00 11.50
41.10

74

UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF LOUISIANA In re: ) ) Case No. 20-10846 THE ROMAN CATHOLIC CHURCH OF THE ) ARCHDIOCESE OF NEW ORLEANS ) Section “A” ) Debtor. ) Chapter 11 ORDER APPROVING SECOND AND FINAL APPLICATION FOR ALLOWANCE AND PAYMENT OF COMPENSATION AND REIMBURSEMENT OF EXPENSES OF KINSELLA MEDIA, LLC AS EXPERT NOTICING CONSULTANT TO THE OFFICIAL COMMITTEE OF UNSECURED CREDITORS FOR THE PERIOD FROM AUGUST 31, 2020 THROUGH JULY 31, 2021 [Relates to Docket # ____] CAME ON for consideration the Second and Final Application for Allowance of Compensation and Reimbursement of Expenses Kinsella Media, LLC, Expert Noticing Consultant to the Official Committee of Unsecured Creditors for the Period from August 31, 2020 through July 31, 2021 [Docket # ____] (the “Final Application”) filed by Kinsella Media, LLC (the “Firm”) for the period from August 31, 2020 through July 31, 2021 (the “Final Application Period”). The Court finds that the Final Application was properly served pursuant to the Federal and Local Rules of Bankruptcy Procedure, with proper notice language incorporated therein, and that no objection to the Application has been timely filed by any party. The Court, having examined the Application, and having determined on a final basis whether the services and expenses as outlined in the Application were actual, reasonable and necessary in representing the interests of the Committee, finds that just cause exists for entry of the following order. IT IS THEREFORE ORDERED, ADJUDGED AND DECREED THAT: 1. The Application is APPROVED in its entirety. The Firm is allowed and awarded, on a final basis, fees for services rendered and expenses incurred in the amount of $95,787.50 for

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the Final Application Period as an administrative expense claim under Bankruptcy Code § 503 against the estates of the Debtor (the “Final Award”). This Final Award consists of $91,187.50 in fees for services rendered and $4,600.00 in expenses incurred by the Firm during the Final Application Period, of which $15,197.50 was incurred in fees and $1,100.00 was incurred in expenses during the Second Period. 2. The Debtor is further authorized, and directed, to pay the balance of the Final Award to the Firm on a final basis as an administrative expense claim under Bankruptcy Code § 503 against the estates of the Debtors, within ten (10) calendar days after the entry of this Order. New Orleans, Louisiana, this ____ day of ____________, 2021. __________________________________________ MEREDITH S. GRABILL UNITED STATES BANKRUPTCY JUDGE

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CERTIFICATE OF SERVICE I hereby caused a copy of the foregoing Final Application to be served on August 23, 2021 upon all parties by electronic case filing for those parties receiving notice via the Court’s Electronic Case Filing system, and on all other parties requiring service under the Court’s Ex Parte Order Authorizing the Debtor to Limit Notice and Establishing Notice Procedures through the Master Service List via first-class United States mail, postage prepaid, to be sent on August 23, 2021. /s/ Linda F. Cantor Linda F. Cantor

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