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Full title: Statement of Monthly Fees Eighth Monthly Fee Statement of Sidley Austin LLP For Allowance and Payment of Compensation and Reimbursement of Expenses From December 1, 2020 To and Including December 31, 2020 Filed by Debtor Wave Computing, Inc. (Attachments: # 1 Exhibit 1 # 2 Exhibit 2 # 3 Exhibit 3 # 4 Exhibit 4) (Miller, Jeri) (Entered: 02/16/2021)

Document posted on Feb 15, 2021 in the bankruptcy, 3 pages and 1 tables.

Bankrupt11 Summary (Automatically Generated)

Case No. 20-50682 (MEH) 18 ) WAVE COMPUTING, INC., et al., )(“Sidley”), as counsel to Debtors, hereby submits its eighth monthly fee statement (the “Monthly Fe19 Statement”) for allowance and payment of compensation for professional services rendered and f20 reimbursement of actual and necessary expenses incurred for the period from December 1, 2020 t21 and including December 31, 2020 (the “Fee Period”) pursuant to the Order Granting Debtor’sBy this Monthly Fee Statement, Sidley requests interim allowance of $1,211,305.50 an2 payment of $969,044.40 (80% of $1,211,305.50) as compensation for professional services rendere3 to the Debtors during the Fee Period and interim allowance and payment of $8,569.51 (100% of th4 expenses incurred) as reimbursement for actual and necessary expenses incurred by 11 Attached as Exhibit 3 is a summary of expenses incurred by Sidley during this Fee Period i12 the rendition of professional services to the Debtors for which reimbursement is sought pursuant t13 this Monthly Fee Statement.In accordance with the Interim Compensation Procedures Order, responses or objections t16 this Monthly Fee Statement, if any, must be filed and served on or before 4:00 p.m. (Pacific Time17 on the 21st day (or the next business day if such day is not a business day) following the date th18 Monthly Fee Statement is served (the “Objection Deadline”) with this Court.

List of Tables

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1 SIDLEY AUSTIN LLP Samuel A. Newman (SBN 217042) 2 (sam.newman@sidley.com) Genevieve G. Weiner (SBN 254272) 3 (gweiner@sidley.com) Julia Philips Roth (SBN 324987) 4 (julia.roth@sidley.com) 555 West Fifth Street 5 Los Angeles, CA 90013 Telephone: 213.896.6000 6 Facsimile: 213.896.6600 7 SIDLEY AUSTIN LLP Charles M. Persons (admitted pro hac vice) 8 (cpersons@sidley.com) Juliana Hoffman (admitted pro hac vice) 9 (jhoffman@sidley.com) Jeri Leigh Miller (admitted pro hac vice) 10 (jeri.miller@sidley.com) 2021 McKinney Avenue, Suite 2000 11 Dallas, TX 75201 Telephone: 214.981.3300 12 Facsimile: 214.981.3400 13 Attorneys for Debtors and Debtors in Possession 14 UNITED STATES BANKRUPTCY COURT 15 NORTHERN DISTRICT OF CALIFORNIA 16 SAN JOSE DIVISION 17 In re: ) Case No. 20-50682 (MEH) 18 ) WAVE COMPUTING, INC., et al., ) Chapter 11 (Jointly Administered) 19 ) Debtors.1 ) EIGHTH MONTHLY FEE 20 ) STATEMENT OF SIDLEY AUSTIN ) LLP FOR ALLOWANCE AND 21 ) PAYMENT OF COMPENSATION ) AND REIMBURSEMENT OF 22 ) EXPENSES FROM DECEMBER 1, ) 2020 TO AND INCLUDING 23 ) DECEMBER 31, 2020 24 ) Objection Deadline: March 10, 2021 ) at 4:00 p.m. (Pacific Time) 25 ) ) [No Hearing Requested] 26 27 1 The Debtors in these chapter 11 cases are Wave Computing, Inc., MIPS Tech, Inc., Hellosoft, IncWave Computing (UK) Limited, Imagination Technologies, Inc., Caustic Graphics, Inc., and MIP28

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Table 1 on page 2. Back to List of Tables
To: Notice Parties2
Name of Applicant: Sidley Austin LLP
Authorized to Provide Professional Services to: Counsel to Debtors
Date of Retention: April 27, 2020
Order entered on June 5, 2020 effective as of
Petition Date
Period for which Compensation and
Reimbursement is Sought:
December 1, 2020 to and including December 31,
2020
Amount of Compensation Sought as Actual,
Reasonable and Necessary:
$1,211,305.503
Amount of Compensation Requested
Immediately:
$969,044.40 (80% of $1,211,305.50 )
Amount of Expense Reimbursement Sought as
Actual, Reasonable and Necessary:
$8,569.514
Amount of Expense Reimbursement Requested
Immediately:
$8,569.51 (100% of $8,569.51)
On May 11, 2020, Wave Computing, Inc. and its debtor affiliates, as debtors an10 debtors in possession (collectively, the “Debtors”) in the above-captioned chapter 11 case11 (the “Chapter 11 Cases”) filed an Application of Debtors Pursuant to 11 U.S.C. § 327(a) and Fed. 12 Bankr. P. 2014(a) and 2016 for Authority to Retain and Employ Sidley Austin LLP as Counsel to th13 Debtors and Debtors in Possession Effective as of the Petition Date [Docket No. 90] (“Retentio14 Application”). The Retention Application was granted by the Court’s Order Approving Applicatio15 of Debtors Pursuant to 11 U.S.C. § 327(a) and Fed. R. Bankr. P. 2014(a) and 2016 for Authority t16 Retain and Employ Sidley Austin LLP as Counsel to the Debtors and Debtors in Possession Effectiv17 as of the Petition Date, dated June 5, 2020 [Docket No. 193] (“Retention Order”). Sidley Austin LL18 (“Sidley”), as counsel to Debtors, hereby submits its eighth monthly fee statement (the “Monthly Fe19 Statement”) for allowance and payment of compensation for professional services rendered and f20 reimbursement of actual and necessary expenses incurred for the period from December 1, 2020 t21 and including December 31, 2020 (the “Fee Period”) pursuant to the Order Granting Debtor’s Motio22 Pursuant to 11 U.S.C. §§ 331 and 105(a) and Fed. R. Bankr. P. 2016 for Authority to Establis23 Procedures for Interim Compensation Reimbursement of Expenses of Professionals, date24 June 18, 2020 [Docket No. 252] (the “Interim Compensation Procedures Order”). 25 26 2 Each capitalized term used but not otherwise defined herein shall have the meaning ascribed to it in the27 Interim Compensation Procedures Order. 3 This amount reflects a voluntary reduction in fees in the amount of $12,858.00. 4

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1 By this Monthly Fee Statement, Sidley requests interim allowance of $1,211,305.50 an2 payment of $969,044.40 (80% of $1,211,305.50) as compensation for professional services rendere3 to the Debtors during the Fee Period and interim allowance and payment of $8,569.51 (100% of th4 expenses incurred) as reimbursement for actual and necessary expenses incurred by Sidley i5 connection with the rendition of such professional services during the Fee Period. 6 Annexed as Exhibit 1 is the name of each Sidley professional who performed services for th 7 Debtors in connection with these Chapter 11 Cases during the Fee Period and the hourly rate and tot8 fees for each such professional during the Fee Period. 9 Annexed as Exhibit 2 is a summary of hours expended by such professionals during the Fe10 Period by task code. 11 Attached as Exhibit 3 is a summary of expenses incurred by Sidley during this Fee Period i12 the rendition of professional services to the Debtors for which reimbursement is sought pursuant t13 this Monthly Fee Statement. 14 Attached as Exhibit 4 are the detailed time entries for the Fee Period. 15 In accordance with the Interim Compensation Procedures Order, responses or objections t16 this Monthly Fee Statement, if any, must be filed and served on or before 4:00 p.m. (Pacific Time17 on the 21st day (or the next business day if such day is not a business day) following the date th18 Monthly Fee Statement is served (the “Objection Deadline”) with this Court. 19 Upon the expiration of the Objection Deadline, Sidley may file a certificate of no objectio20 with the Court with respect to any fees and expenses not subject to an objection, after which th21 Debtors shall be authorized and directed to pay Sidley 80% of the fees and 100% of the expenses n22 subject to an objection. 23 Dated: February 16, 2021 Respectfully submitted, SIDLEY AUSTIN LLP 24 /s/ Jeri Leigh Miller 25 Samuel A. Newman 26 Charles M. Persons Jeri Leigh Miller 27 Attorneys for Debtors and Debtors in Possession