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Full title: Final Application for Compensation / Final Fee Statement of Dundon Advisers LLC for Allowance and Payment of Compensation and Reimbursement of Expenses for the Period June 4, 2020 Through February 26, 2021 for Dundon Advisers LLC, Financial Advisor, Fee: $838,071.50, Expenses: $0.00. Filed by Other Prof. Dundon Advisers LLC (Wynne, Richard) (Entered: 03/15/2021)

Document posted on Mar 14, 2021 in the bankruptcy, 23 pages and 1 tables.

Bankrupt11 Summary (Automatically Generated)

17 18 19 20 21 22 23 24 25 26 27 2 Committee of Unsecured Creditors (the “Committee”), of Wave Computing, Inc. (together 3 its affiliated debtors and debtors in possession, the “Debtors”), hereby submits its final 4 application (the “Application”) for allowance and payment of compensation for professio5 services rendered, and for reimbursement of actual and necessary expenses incurred for the per 6 June 4, 2020 through and including February 26, 2021 (the “Fee Period”) pursuant to sections 7 8 and 331 of chapter 11 of title 11 of the United States Code, 11 U.S.C. §§ 101 et seq.Pursuant to Bankruptcy Code § 330, Dundon respectfully requests entry of an or6 on a final basis, compensation for actual and necessary professional services rendered by Dun7 8 as financial advisor to the Committee during the Fee Period in the amount of $838,071.50.Dundon personnel: (i) prepared various presentations for Committee meetings; (ii) provi22 comments to meeting agendas; (iii) communicated case status and pending matters with Commi23 counsel and the Committee; (iv) conducted regular status calls with Committee counsel andApplication appropriately sets forth the signific5 services Dundon performed on behalf of the Committee and provides this Court and the 6 Trustee, the Debtors’ creditors, and other interested parties with an insightful overview of the sc7 8 of services rendered.No objections were filed for Dundon fee applications for June 2020 through October 2020, for which Dundon received $362,913.60, reflecting 80% of fees and expenses billed totaling $453,642.00 23 2.

List of Tables

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richard.wynne@hoganlovells.com 2 David Simonds (Bar No. 214499) david.simonds@hoganlovells.com 3 Edward J. McNeilly (Bar No. 314588) edward.mcneilly@hoganlovells.com 4 HOGAN LOVELLS US LLP 1999 Avenue of the Stars, Suite 1400 5 Los Angeles, California 90067 Telephone: (310) 785-4600 6 Facsimile: (310) 785-4601 7 Attorneys for the Official Committee of Unsecured Creditors of Wave Computing, Inc. 8 9 UNITED STATES BANKRUPTCY COURT 10 NORTHERN DISTRICT OF CALIFORNIA 11 SAN JOSE DIVISION 12 In re: Bankruptcy Case 13 No. 20-50682 (MEH) Wave Computing, Inc., et al., 14 Debtors.1 Chapter 11 (Jointly Administered) 15 16 FINAL FEE STATEMENT OF DUNDON ADVISERS LLC FOR 17 ALLOWANCE AND PAYMENT OF COMPENSATION AND 18 REIMBURSEMENT OF EXPENSES FOR THE PERIOD JUNE 4, 2020 19 THROUGH FEBRUARY 26, 2021 20 Objection Deadline: April 6, 2021 21 4:00 p.m. (PT) 22 Hearing Date and Time: 23 Date: April 15, 2021 24 Time: 10:00 a.m. Judge: The Hon. M. Elaine Hammond 25 280 South First Street San Jose, CA 95113-3099 26 27 1 The Debtors in these chapter 11 cases are Wave Computing, Inc., MIPS Tech Inc., Hellosoft, Inc., Wave

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To: The Notice Parties 2 Name of Applicant: Dundon Advisers LLC, Financial Advisor f the Official Committee of Wave Computing 3 Inc. 4 Authorized to Provide Professional Services to Official Committee of Unsecured Creditors 5 Date of retention: October 5, 2020 effective as of June 4, 202 6 Period for which compensation and June 4, 2020 –February 26, 2021reimbursement are sought: 7 Amount of compensation and reimbursement $838,071.50 8 sought: 9 Amount of expense reimbursement sought as $0.00 actual, reasonable, and necessary: 10 This is a(n):__ monthly interim __X_ 11 final application 12 This is the final fee application filed by Dundon Advisers LLC in these cases. 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27

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2 SUMMARY OF COMPENSATION BY PROFESSIONAL† 3 FOR THE PERIOD JUNE 4, 2020 THROUGH FEBRUARY 26, 2021 4 5 Name Rate Hours Fees Matthew Dundon 750 123.6 88,865.0 6 Eric Reubel 550 966.5 541,585.0 7 Michael Garbe 500 606.2 306,545.0 Total 10.8 4,320.0 8 Discount 104,563.5 9 Adjusted total, subject to rate cap 838,071.50 10 11 SUMMARY OF COMPENSATION BY WORK TASK CODE 12 FOR THE PERIOD JUNE 4, 2020 THROUGH FEBRUARY 26, 2021 13 14 Categories Hours 15 Business Analysis 639.80 $346,07 Case Administration 16.00 $9,21 16 Claims Analysis 152.90 $82,87 17 Court Hearings 17.00 $9,33 Committee Member/Professional Meetings & Communications 183.40 $102,8318 Communication with Debtor's advisors 95.70 $51,01 19 Exit Planning 44.30 $24,24 Investigations 129.60 $67,46 20 Plan and Disclosure Statement 261.20 $149,54 21 Retention and Fee Applications 51.40 $29,40 Review of Other Professional's Retention 0.50 $30 22 Sale Process 118.6 $70,34 23 Total, without giving effect to rate cap 1,710.4 $942,63 24 25 26 27

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2 SUMMARY OF EXPENSES BY CATEGORY 3 FOR THE PERIOD JUNE 4, 2020 THROUGH FEBRUARY 26, 2021 4 N/A 5 6 SUMMARY OF PRIOR INTERIM/MONTHLY FEE STATEMENTS FOR THE PERIOD JUNE 4, 2020 THROUGH FEBRUARY 26, 2021 7 8 Objections to any prior Dundon Monthly Fee Statement: None; Objections to any prior Dundon interim fee statements: N/A 9 Compensation and Expenses Sought and Not Yet Paid: $475,157.9010 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27

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2 Committee of Unsecured Creditors (the “Committee”), of Wave Computing, Inc. (together 3 its affiliated debtors and debtors in possession, the “Debtors”), hereby submits its final 4 application (the “Application”) for allowance and payment of compensation for professio5 services rendered, and for reimbursement of actual and necessary expenses incurred for the per 6 June 4, 2020 through and including February 26, 2021 (the “Fee Period”) pursuant to sections 7 8 and 331 of chapter 11 of title 11 of the United States Code, 11 U.S.C. §§ 101 et seq. (as amend9 the “Bankruptcy Code”), Rule 2016 of the Federal Rules of Bankruptcy Procedure (10 “Bankruptcy Rules”), the Guidelines for Compensation and Expense Reimbursement 11 Professionals and Trustees for the Northern District of California, dated February 19, 2014 (12 “Local Guidelines”), and the Order Granting Debtors’ Motion Pursuant to 11 U.S.C. 331 13 105(a) and Fed. R. Bankr. P. 2016 for Authority to Establish Procedures for Interim Compensat14 15 and Reimbursement of Expenses of Professionals [Docket No. 252] (the “Interim Compensat16 Order”). 17 INTRODUCTION 18 1. By this Application, Dundon seeks allowance, on a final basis, of compensation19 actual and necessary professional services rendered by Dundon as financial advisor to 20 Committee during the Fee Period in the amount of $838,071.50. Dundon incurred $942,635.021 fees at its standard rates during the Fee Period, and by agreement granted the Committee a disco22 23 of $104,563.50 from this amount, for a net billable amount of $838,071.50. Dundon did not in24 any reimbursable expenses during the Fee Period. 25 2. By this Application, Dundon also seeks an order directing the Debtors to 26 $475,157.90 in compensation for professional services not yet paid to Dundon. $90,728.40 refl27 the 20% holdback for fee applications filed for the June 2020 through October 2020 periods

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2 for the November 2020 through February 2021 period, for which Dundon has not yet recei3 payment of any compensation, broken down as follows: (i) November 2020 and December 204 $184,901.50 and (ii) January 2021 and February 2021: $199,528.00. No objection was file 5 Dundon’s November and December 2020 fee application during the 21-day notice period. 6 applications for January 2021 and February 2021 are filed with this Application and will be subj7 8 to the 21-day notice period. 9 3. Annexed hereto as Exhibit A is the name of each professional who perfor10 services for the Committee in connection with these Chapter 11 Cases and for which Dundo11 seeking compensation during the Fee Period covered by this Application and the hourly rate 12 total fees for each professional. Attached hereto as Exhibit B is a summary of hours spent dur13 the Fee Period by task. Attached hereto as Exhibit C is a summary prior monthly fee applicati14 15 during the Final Fee Period. Attached hereto as Exhibit D is a summary of prior of prior expen16 associated with fee applications during the Final fee period. Attached hereto as Exhibit 17 biographical information for each Dundon professional that rendered services during the 18 Period. 19 4. For completeness, also attached hereto as Exhibit F are corrected Exhibits A an20 to the Third Monthly Fee Statement of Dundon Advisers LLC for Allowance and Payment21 Compensation and Reimbursement of Expenses for the Period August 1, 2020 Through August 22 23 2020 [Docket No. 864] and the Fifth Monthly Fee Statement of Dundon Advisers LLC 24 Allowance and Payment of Compensation and Reimbursement of Expenses for the Period Octo25 1, 2020 Through October 31, 2020 [Docket No. 866]. There is no change to the compensat26 sought for those months. 27

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2 5. The Court has jurisdiction to consider this matter pursuant to 28 U.S.C. §§ 157 3 1334, the Order Referring Bankruptcy Cases and Proceedings to Bankruptcy Judges, General Or4 24 (N.D. Cal.) and Rule 5011-1(a) of the Local Bankruptcy Rules. This is a core proceed5 pursuant to 28 U.S.C. § 157(b). Venue is proper before the Court pursuant to 28 U.S.C. §§ 16 and 1409. 7 8 BACKGROUND 9 6. On April 27, 2020, the Debtors filed voluntary petitions for relief under chapter10 of the Bankruptcy Code in the United States Bankruptcy Court for the Northern District11 California (the “Court”). On May 1, 2020, the Court entered an order to jointly administer 12 Debtors’ bankruptcy cases (the “Chapter 11 Cases”). The Debtors continue to operate t13 businesses and manage their properties as debtors in possession pursuant to sections 1107(a) 14 15 1108 of the Bankruptcy Code. No trustee or examiner has been appointed in the Chapter 11 Ca16 7. On May 18, 2020, pursuant to section 1102 of the Bankruptcy Code, the Offic17 the United States Trustee for the Northern District of California (the “U.S. Trustee”) appointed 18 Committee. On May 26, 2020, the Committee duly selected Hogan Lovells as counsel. 19 Committee originally consisted of the following five members: (i) Synopsys, Inc. (“Synopsy20 (ii) Avnet, Inc. (“Avnet”); (iii) Ensilica India Pvt Ltd. (“Ensilica”); (iv) Sintegra, Inc. (“Sintegr21 and (v) PFIL North America Inc. (“PFIL”). On October 14, 2020, following Sintegra’s resignat22 23 from the Committee, the U.S. Trustee appointed a reconstituted Committee, consisting of the ot24 four members. On December 2, 2020, following PFIL’s resignation from the Committee, the 25 Trustee appointed a reconstituted Committee, consisting of Synopsys, Avnet and Ensilica. 26 8. On July 23, 2020, the Committee filed an application to employ Dundon as27 financial advisor counsel, effective as of June 4, 2020 [Docket No. 279] (the “Retent

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2 5, 2020 [Docket No. 569] (the “Retention Order”). The Retention Order authorizes the Debt3 to compensate and reimburse Dundon in accordance with the Bankruptcy Code, the Bankrup 4 Rules, the Local Guidelines and the Interim Compensation Order. 5 9. On February 5, 2021, the Debtors filed the Sixth Amended Joint Chapter 11 Pla 6 Reorganization for Wave Computing, Inc. and Its Debtor Affiliates [Docket No. 1129] (the “Pla7 8 The Plan was confirmed on February 16, 2021 [Docket No. 1172]. The Plan went effective 9 February 26, 2021 (the “Effective Date”). See Notice of the Occurrence of the Effective Date 10 Debtors' Confirmed Sixth Amended Joint Chapter 11 Plan of Reorganization for Wave Computi11 Inc. and Its Debtor Affiliates [Docket No. 1227]. 12 10. Pursuant to Section XIII.D of the Plan, “[o]n the Effective Date, the Commi13 appointed in the Chapter 11 Cases shall dissolve and members thereof shall be released 14 15 discharged from all rights and duties from or related to the Chapter 11 Cases; provided, howe16 that the Committee may continue to have standing for the limited purpose of Filing final 17 applications with respect to Professionals retained by the Committee and defending any objecti18 to payment of such Professional Claims. The reasonable fees and expenses incurred by 19 Professionals retained by the Committee in Filing any final fee applications after the Effective D20 shall be paid by the Reorganized Debtors without further order of the Bankruptcy Court.” Dun21 intends to submit invoices for post-Effective Date fees and expenses incurred in filing its final 22 23 applications (and those of any other professionals retained by the Committee) to the Reorgani24 Debtors for payment in accordance with Section XIII.D of the Plan. 25 26 TERMS AND CONDITIONS OF EMPLOYMENT 27

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2 directions of the Committee. Dundon is compensated on an hourly fee basis, plus reimbursem3 of actual and necessary expenses occurred. 4 RELIEF REQUESTED 5 12. Pursuant to Bankruptcy Code § 330, Dundon respectfully requests entry of an or6 on a final basis, compensation for actual and necessary professional services rendered by Dun7 8 as financial advisor to the Committee during the Fee Period in the amount of $838,071.50. Dun9 also seeks an order directing the Debtors to pay $475,157.90 in compensation for professio10 services not yet paid to Dundon. Dundon respectfully submits that the nature of the services 11 been necessary and beneficial to the Committee in maximizing recoveries to unsecured credito12 13. Dundon’s retention and corresponding engagement scope were to serve a13 financial advisor to the Committee during the pendency of the Chapter 11 Cases through April 14 15 2019, in specific capacities. The Committee and its counsel, Hogan Lovells US LLP (“Ho16 Lovells”) required Dundon to dedicate senior resources to many specific assignments and c17 issues in these matters. This is reflected in the professionals involved and hours worked. 18 14. Further, Dundon has made every effort to ensure that this Application complies 19 the Local Guidelines and to avoid unnecessary duplication of effort by and among its te20 members, as well as with other retained professionals in these cases. Pursuant to Bankruptcy C21 § 504, Dundon has no understanding, agreement, or arrangement of any kind to divide with or 22 23 to anyone any fees that may be awarded to Dundon in the Chapter 11 Cases, other than as may24 shared among the members of Dundon. 25 26 SUMMARY OF PROFESSIONAL SERVICES RENDERED 27

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2 ultimately led to an excellent outcome for unsecured creditors. There were may issues 3 considerations impacting the Committee and unsecured creditors’ potential recoveries. 4 specific tasks, the number of hours devoted, and the amounts charged within each billing categ5 are set forth below. 6 16. The following are summaries of the project categories for Dundon’s professio7 8 services during the Interim Fee Period: 9 a. Business Analysis 10 Fees: $346,075.00 // Hours 639.8 11 Dundon personnel: (i) reviewed and analyzed the cash collateral budget and administrative expe12 forecast; (ii) reviewed and analyzed the prepetition MediaTek settlement; (iii) reviewed 13 analyses to retain or return Wave’s PPP loan; (iv) reviewed and analyzed a proposal by E&14 15 complete and file 2019 tax returns; (v) prepared for and participated on calls regarding c16 collateral; (vi) reviewed and analyzed the Debtors’ weekly financial reports on DIP budget 17 variances with the Debtors’ advisers; (vii) supported negotiations between Hogan Lovells and 18 Debtors regarding a KEIP/KERP plan for key employees; (viii) prepared declarations 19 supported counsel strategy in connection with objections; (ix) reviewed and analyzed l20 documents, insurance documents, and various analyses; (x) reviewed and analyzed proposal21 settle certain license disagreements with CIP United Co. Ltd. (“CIP”) and negotiate a settlem22 23 (xi) reviewed CFIUS requirements relative to certain settlements with CIP; and (xii) participa24 on regular case status update calls. 25 b. Case Administration 26 Fees: $9,215.00 // Hours 16.0 27

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2 responded to all internal requests of counsel and the committee. 3 c. Claims Analysis 4 Fees: $82,870.00 // Hours 152.9 5 Dundon personnel: (i) investigated various filed administrative and other priority claims; 6 reviewed and prepared analysis of the general unsecured claims pool; (iii) investigated titles 7 collateralized Letters of Credit to discover and unlock unencumbered value for the estate; 8 9 reviewed and analyzed numerous documents in connection with the investigation of various 10 offs; (v) and reviewed and prepared analysis of the general unsecured claims pool, and confer11 with parties in interest regarding the same; and (vi) applied detailed understanding of the cla12 analysis to prepare and revise waterfall analyses. 13 d. Court Hearings & Mediations 14 Fees: $9,330.00 // Hours 17.0 15 Dundon personnel: (i) attended regular court hearings and prepared to testify in the KEIP mat16 17 (ii) attended mediation between the Debtors and CIP; and (iii) reviewed and analyzed proposal18 reach a negotiated settlement with CIP. 19 e. Committee Member/Professional Meetings & Communications 20 Fees: $102,832.50 // Hours 183.4 21 Dundon personnel: (i) prepared various presentations for Committee meetings; (ii) provi22 comments to meeting agendas; (iii) communicated case status and pending matters with Commi23 counsel and the Committee; (iv) conducted regular status calls with Committee counsel and 24 Committee regarding case issues and strategy; and (v) conferred and corresponded with par25 26 regarding case matters. 27 f. Communications with Debtors’ Advisers

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2 analyze claims; (iii) to analyze settlements with customers; (iv) to review contracts and poten3 contracts and business outlook; (v) to analyze royalties and royalty streams; (vi) with respect to 4 sale process; (vii) with respect to the plan and plan process; (viii) with respect to exit planning p5 confirmation; (ix) regarding court hearings; and (x) regarding plan effectiveness. 6 g. Exit Planning 7 8 Fees: $24,245.00 // Hours 44.3 9 Dundon personnel prepared for the post-effective date planning for the Debtors and the smo10 transition to a Liquidating Trust including (i) participation in interviewing and selecting a trus11 and (ii) responding to requests from the trustee to prepare for post-effective operations of 12 reorganized company. 13 h. Investigations 14 Fees: $67,465.00 // Hours 129.6 15 Dundon reviewed (i) prior acquisitions and financing transactions, (ii) board materials and ot16 17 company documents and (iii) material in connection to the 2004 investigation to support Ho18 Lovells to develop a detailed understanding of prior transactions. 19 i. Plan and Disclosure Statement 20 Fees: $149,547.00 // Hours 261.2 21 Dundon personnel supported counsel in the preparation and negotiation of plan term sheet, (ii) p22 and disclosure statement, (iii) plan supplement, (iv) financing documents, (v) applied detai23 understanding of the claims analysis to prepare and revise waterfall analyses and (vi) conferred 24 corresponded with parties regarding the same. 25 26 27 j. Retention and Fee Applications

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2 During the Fee Period, Dundon prepared monthly fee applications and this Application. 3 k. Review of Other Professionals Fee Applications 4 Fees: $300.00 // Hours 0.5 5 During the Fee Period, Dundon personnel reviewed the fee applications of other est6 professionals. 7 l. Sale Process 8 Fees: $70,340.00 // Hours 118.6 9 Dundon personnel: (i) interviewed represented committee interests in selecting an investm10 11 banker; (ii) worked closely with the Debtors and the Debtors’ investment bankers to monitor 12 enhance the sale process; (iii) prepared various waterfall analyses to evaluate and compare cert13 bids for acceptance; (iv) participated in a live zoom auction; and (v) supported committee cou14 negotiation strategies to maximize value for final bids. 15 NOTICE 16 17. Pursuant to the Interim Compensation Order, notice of this Application has b17 18 served upon: (i) the U.S. Trustee for Region 17, 280 South First Street, Room 268, San Jose, 19 95113 (Attn: Jason B. Shorter, Esq. and Jason M. Blumberg, Esq.), jason.b.shorter@usdoj.gov; 20 the Debtors, 355 S. Grand Ave., Suite 1450, Los Angeles, CA 90071 (Attn: Lawrence R. Perki21 lperkins@scpllc.com; (iii) the attorneys for the Debtors, Sidley Austin LLP, 555 West Fifth Str22 40th Floor, Los Angeles, CA 90013 (Attn: Samuel A. Newman, Esq.), jeri.miller@sidley.com; 23 counsel for the DIP Agent and DIP Lender, Binder & Malter LLP, 2775 Park Ave., Santa Cl24 CA 95050 (Attn: Robert G. Harris, Esq.), rob@bindermalter.com; (v) counsel to the Offi25 26 Committee of Unsecured Creditors, Hogan Lovells US LLP, 1999 Avenue of the Stars, Suite 1427 Los Angeles, CA 90067 (Attn: Richard L. Wynne, Esq.), richard.wynne@hoganlovells.com;

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2 no other or further notice need be provided. 3 CONCLUSION 4 18. Dundon believes that this Application appropriately sets forth the signific5 services Dundon performed on behalf of the Committee and provides this Court and the 6 Trustee, the Debtors’ creditors, and other interested parties with an insightful overview of the sc7 8 of services rendered. herein are reasonable and that the services rendered were necessary, effecti9 efficient, and economical. Accordingly, Dundon respectfully requests that this Application 10 allowance of fees and expenses, on a final basis, be granted in all respects. 11 12 13 Dated: March 15, 2020 Respectfully submitted, 14 15 DUNDON ADVISERS LLC 16 By: /s/ Matthew J. Dundon 17 Matthew J. Dundon, Principal 18 Financial Advisor for Official Committee of Unsecur Creditors of Wave Computing, Inc. 19 20 21 22 23 24 25 26 27

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2 SUMMARY OF COMPENSATION BY PROFESSIONAL‡ FOR THE PERIOD JUNE 4, 2020 THROUGH FEBRUARY 26, 2021 3 4 5 6 Name Rate Hours Fees 7 Matthew Dundon 750 123.6 88,865.0 Eric Reubel 550 966.5 541,585.0 8 Michael Garbe 500 606.2 306,545.0 9 Total 10.8 4,320.0 Discount 104,563.5 10 Adjusted total, subject to rate cap 838,071.50 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27

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2 SUMMARY OF COMPENSATION BY WORK TASK CODE FOR THE PERIOD JUNE 4, 2020 THROUGH FEBRUARY 26, 2021 3 4 Categories Hours 5 Business Analysis 639.80 $346,07 6 Case Administration 16.00 $9,21 7 Claims Analysis 152.90 $82,87 Court Hearings & Mediations 17.00 $9,33 8 Committee Member/Professional Meetings & Communications 183.40 $102,83 9 Communication with Debtor's advisors 95.70 $51,01 Exit Planning 44.30 $24,24 10 Investigations 129.60 $67,46 11 Plan and Disclosure Statement 261.20 $149,54 Retention and Fee Applications 51.40 $29,40 12 Review of Other Professional's Retention 0.50 $30 13 Sale Process 118.6 $70,34 14 Total, without giving effect to rate cap 1,710.4 $942,63 15 16 17 18 19 20 21 22 23 24 25 26 27

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Exhibit C 2 SUMMARY OF PRIOR MONTHLY FEE APPLICATIONS 3 FOR THE PERIOD JUNE 4, 2020 THROUGH FEBRUARY 26, 2021 4
Table 1 on page 17. Back to List of Tables
Period Fee Total Fees &
Expenses
Compensation
Received
Date
Received
Balance
Remaining
to be Paid
First Monthly June 4, 2020
- June 30, 2020 [D.I. 862]
$76,342.00 $76,342.00 $61,073.60 12/29/2020 $15,268.40
Second Monthly July 1,
2020 - July 31, 2020 [D.I.
863]
$121,667.00 $121,667.00 $97,333.60 12/29/2020 $24,333.40
Third Monthly August 1,
2020 - August 31, 2020
[D.I. 864]
$93,492.00 $93,492.00 $74,793.60 12/29/2020 $18,698.40
Fourth Monthly September
1, 2020 - September 30,
2020 [D.I. 865]
$72,814.00 $72,814.00 $58,251.20 12/29/2020 $14,562.80
Fifth Monthly October 1,
2020 - October 31, 2020
[D.I. 866]
$89,327.00 $89,327.00 $71,461.60 12/29/2020 $17,865.40
Sixth Monthly November 1,
2020 - November 30, 2020
[D.I. 1169]
$72,030.00 $72,030.00 $0.00 $72,030.00
Seventh Monthly December
1, 2020 - December 31,
2020 [D.I.1170]
$112,871.50 $112,871.50 $0.00 $112,871.50
Eighth Monthly January 1,
2021 - January 31, 2021
[Filed herewith]
$119,413.00 $119,413.00 $0.00 $119,413.00
Ninth Monthly February 1,
2021 - February 26, 2021
[Filed herewith]
$80,115.00 $80,115.00 $0.00 $80,115.00
Total $838,071.50 $362,913.60 $475,157.90
Notes: 22 1. No objections were filed for Dundon fee applications for June 2020 through October 2020, for which Dundon received $362,913.60, reflecting 80% of fees and expenses billed totaling $453,642.00 23 2. Dundon has not received any compensation for fees and expenses for fee application filed for the periods 24 from November 2020 through February 2021; a balance of $457,157.90 remains to be paid. 3. Dundon fee applications for January 2021 and February 2021 are filed herewith 25 26 27

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2 SUMMARY OF EXPENSES BY CATEGORY 3 FOR THE PERIOD JUNE 4, 2020 THROUGH FEBRUARY 26, 2021 4 N/A 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27

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2 Biographical Information 3 Dundon Staff 4 Ammar Alyemany is a junior associate at Dundon. He holds a B.S. in Business Administratiofrom Baruch College of the City University of New York. 5 Matthew Dundon is a global credit, litigation and distressed investment leader for 14 years 6 (research head at Miller Tabak Roberts 2006-2010, portfolio manager at Pine River Capital anAdvent Capital 2010-2016). University of Chicago Law School JD, University of California 7 Berkeley BA. 8 Michael Garbe has been a forensic account leader for over 40 years and manages the forensic accounting process for Dundon creditor committee engagements. Mike joined Dundon from a 9 long career as an industry and independent auditor. California State University Northridge, BS Accounting. 10 Eric Reubel was an investment banker at Miller Buckfire/Stifel (2014-2019), where he 11 specialized in restructuring and asset sales for distressed issuers. He was a high yield and distressed debt analyst from 2002 – 2013, covering semiconductors, technology and telecom. 12 Baruch MBA, University of California at Santa Barbara, BA 13 Lee Rooney is a senior associate who divides his time between the firm’s asset management arestructuring engagements. He holds a BS and MBA 14 15 16 17 18 19 20 21 22 23 24 25 26 27

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Exhibit F 2 Corrected Exhibits A and B to Third Monthly Fee Application (August 2020) 3 Exhibit A 4 SUMMARY OF COMPENSATION BY PROFESSIONAL 5 FOR THE PERIOD AUGUST 1, 2020 THROUGH AUGUST 31, 2020 6 7 8 9 Name Rate Hours Fees 10 Matthew Dundon 700 19.8 $13,860.00 11 Eric Reubel 550 96.8 $53,240.00 Michael Garbe 500 74.2 $37,100.00 12 Lee Rooney 400 - $- 13 Total 190.8 $104,200.00 Discount $10,708.00 14 Adjusted total, subject to rate cap $93,492.00 15 16 17 18 19 20 21 22 23 24 25 26 27

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2 SUMMARY OF COMPENSATION BY WORK TASK CODE FOR THE PERIOD AUGUST 1, 2020 THROUGH AUGUST 31, 2020 3 4 5 Categories Hours F 6 Business Analysis 75.4 $41,350 Case Administration 2.3 $1,240 7 Claims Analysis 6.0 $3,325 8 Court Hearings 0.0 $0 Committee Member/Professional Meetings & Communications 14.7 $8,280 9 Communications with Debtor's Advisers 4.4 $2,200 10 Investigations 62.5 $32,460 Plan and Disclosure Statement 12.6 $7,470 11 Retention and Fee Applications 6.9 $3,975 12 Sale Process 6.0 $3,900 Total without giving effect to the rate cap 190.8 $104,200 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27

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2 Exhibit A 3 SUMMARY OF COMPENSATION BY PROFESSIONAL FOR THE PERIOD OCTOBER 1, 2020 THROUGH OCTOBER 31, 2020 4 5 6 7 8 Name Rate Hours Fees Matthew Dundon 700 11.8 $8,260.00 9 Eric Reubel 550 87.1 $47,905.00 10 Michael Garbe 500 83.4 $41,700.00 Lee Rooney 400 - $- 11 Total 182.3 $97,865.00 12 Discount $8,538.00 Adjusted total, subject to rate cap $89,327.00 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27

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2 SUMMARY OF COMPENSATION BY WORK TASK CODE FOR THE PERIOD OCTOBER 1, 2020 THROUGH OCTOBER 31, 2020 3 4 5 Categories Hours F 6 Business Analysis 9.8 $5,170 Case Administration 0.4 $220 7 Claims Analysis 23.8 $12,530 8 Court Hearings 0.0 $0 Committee Member/Professional Meetings & Communications 36.3 $20,240 9 Communications with Debtor's Advisers 14.7 $7,785 10 Investigations 41.1 $21,265 Plan and Disclosure Statement 39.9 $21,665 11 Retention and Fee Applications 5.5 $3,025 12 Sale Process 10.8 $5,965 Total without giving effect to the rate cap 182.3 $97,865 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27