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Full title: Supplemental Declaration of Samuel A. Newman in support of econd Supplemental Certification Of Samuel A. Newman In Support Of Sidley Austin LLP's (I) Tenth Monthly Fee Statement For The Period Of February 1, 2021 To And Including February 26, 2021; And (II) Final Fee Application For The Period Of April 27, 2020 To And Including February 26, 2021 For Allowance And Payment Of Compensation And Reimbursement Of Expenses (RE: related document(s)1275 Application for Compensation, 1282 Notice, 1283 Declaration, 1304 Declaration, 1331 Order on Application for Compensation). Filed by Debtor Wave Computing, Inc. (Newman, Samuel) (Entered: 05/05/2021)

Document posted on May 4, 2021 in the bankruptcy, 4 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

Case No. 20-50682 (MEH) 18 ) WAVE COMPUTING, INC., et al., )26 1 The post-effective date debtors (the “Reorganized Debtors”) in these chapter 11 cases are Wav27 Computing, Inc., MIPS Tech, Inc., Hellosoft, Inc., Wave Computing (UK) Limited, ImaginatioTechnologies, Inc., Caustic Graphics, Inc., and MIPS Tech, LLC. After the filing of the Supplemental Certification, Sidley agreed to a voluntary discount t19 the amount of fees and expenses requested in the Fee Application.On April 16, 2021, the Court entered an order approving final allowance of Sidley’s fee21 and expenses for the Final Fee Period in the voluntarily discounted amount of $7,820,694.422 consisting of $7,664,139.353 of professional fees and reimbursement of expenses of $156,555.14 th23 1 that, while the original amount requested in the Fee Application was approximately 13% over budge2 the amount that Sidley ultimately sought, which amount was approved in the Final Fee Order, wa3 only approximately 8% over budget (i.e., within 10% of the budgeted amount).

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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 ) Reorganized Debtors.1 ) SECOND SUPPLEMENTAL 20 ) CERTIFICATION OF SAMUEL A. ) NEWMAN IN SUPPORT OF SIDLEY 21 ) AUSTIN LLP’S (I) TENTH ) MONTHLY FEE STATEMENT FOR 22 ) THE PERIOD OF FEBRUARY 1, 2021 ) TO AND INCLUDING FEBRUARY 23 ) 26, 2021; AND (II) FINAL FEE ) APPLICATION FOR THE PERIOD 24 ) OF APRIL 27, 2020 TO AND INCLUDING FEBRUARY 26, 2021 25 ) FOR ALLOWANCE AND PAYMENT 26 1 The post-effective date debtors (the “Reorganized Debtors”) in these chapter 11 cases are Wav27 Computing, Inc., MIPS Tech, Inc., Hellosoft, Inc., Wave Computing (UK) Limited, ImaginatioTechnologies, Inc., Caustic Graphics, Inc., and MIPS Tech, LLC. The Reorganized Debtors’ mailin28 address is 3201 Scott Blvd, Santa Clara, CA 95054.

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1 ) OF COMPENSATION AND ) REIMBURSEMENT OF EXPENSES 2 ) ) Related to Dkt. Nos.: 1275, 1282, 1283, 3 1304, 1331 ) ) 4 I, Samuel A. Newman, declare as follows: 5 6 1. The following facts are personally known to me, and if called to do so, I could and woul7 competently testify thereto. 8 2. I am a partner at the law firm of Sidley Austin LLP (“Sidley”), counsel for the pre-effectiv9 date debtors and debtors in possession (the “Debtors”) in the above-captioned chapter 11 cases (th10 “Chapter 11 Cases”). 11 3. On March 16, 2021, I submitted a certification (the “Initial Certification”) on behalf 12 Sidley in support of Sidley Austin LLP’s (I) Tenth Monthly Fee Statement for the Period of Februar13 1, 2021 to and Including February 26, 2021; and (II) Final Fee Application for the Period of Apr14 27, 2020 to and Including February 26, 2021 for Allowance and Payment of Compensation an15 Reimbursement of Expenses (the “Fee Application”) [Docket No. 1275].2 16 4. On March 31, 2021, I submitted a supplemental certification in further support of the Fe17 Application (the “Supplemental Certification”) [Docket No. 1304]. 18 5. After the filing of the Supplemental Certification, Sidley agreed to a voluntary discount t19 the amount of fees and expenses requested in the Fee Application. 20 6. On April 16, 2021, the Court entered an order approving final allowance of Sidley’s fee21 and expenses for the Final Fee Period in the voluntarily discounted amount of $7,820,694.422 consisting of $7,664,139.353 of professional fees and reimbursement of expenses of $156,555.14 th23 (“Final Fee Order”) [Docket No. 1331]. 24 7. Since the filing of the Supplemental Certification and entry of the Final Fee Order, Sidle25 discovered that, due to a clerical error, the budget amount disclosed in the Supplemental Certificatio26 was overstated by $469,840.90. Therefore, I submit this second supplemental certification to clarif 27 2 Capitalized terms used but not defined herein shall have the meaning ascribed to them in the FeApplication.

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1 that, while the original amount requested in the Fee Application was approximately 13% over budge2 the amount that Sidley ultimately sought, which amount was approved in the Final Fee Order, wa3 only approximately 8% over budget (i.e., within 10% of the budgeted amount). A summary of th4 corrected budget for the Final Fee Period as compared to the fees and expenses approved in the Fin 5 Fee Order is attached hereto as Exhibit A. 6 I declare under penalty of perjury that the foregoing is true and correct. Executed this 5th da7 of May, 2021 at Manhattan Beach, California 8 9 /s/ Samuel A. Newman 10 Samuel A. Newman 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27

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1 EXHIBIT A COMPARISON OF BUDGETED FEES AND EXPENSES TO ACTUAL FEES AND 2 EXPENSES SOUGHT AND APPROVED FOR THE FINAL FEE PERIOD
Table 1 on page 4. Back to List of Tables
Final Fee Period Fees and Expenses
Budgeted ($)
April 27, 2020 to
and including
February 26, 2021
7,222,371.10
1 EXHIBIT A COMPARISON OF BUDGETED FEES AND EXPENSES TO ACTUAL FEES AND 2 EXPENSES SOUGHT AND APPROVED FOR THE FINAL FEE PERIOD 1 EXHIBIT A COMPARISON OF BUDGETED FEES AND EXPENSES TO ACTUAL FEES AND 2 EXPENSES SOUGHT AND APPROVED FOR THE FINAL FEE PERIOD 3 Difference Between Fees and Expenses Amount Budgeted 4 Fees and Expenses Sought and and Amount Sought Final Fee Period Budgeted ($) Approved ($) and Approved ($) 5 April 27, 2020 to and including 7,222,371.10 7,820,694.49 (598,323.39) 6 February 26, 2021 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28
Table 2 on page 4. Back to List of Tables
Final Fee Period Fees and Expenses
Budgeted ($)
April 27, 2020 to
and including
February 26, 2021
7,222,371.10
7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28

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