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Full title: Final Application for Compensation and Reimbursement of Expenses of Pachulski Stang Ziehl & Jones LLP, as Co- Counsel for the Official Committee of Unsecured Creditors, for the period November 19, 2020 to June 23, 2021 Filed by Pachulski Stang Ziehl & Jones LLP. Hearing scheduled for 8/3/2021 at 10:30 AM at US Bankruptcy Court, 824 Market St., 5th Fl., Courtroom #4, Wilmington, Delaware. Objections due by 7/13/2021. (Attachments: # 1 Notice # 2 Exhibit A # 3 Exhibit B # 4 Exhibit C # 5 Exhibit D # 6 Exhibit E # 7 Exhibit F # 8 Exhibit G # 9 Proposed Form of Order # 10 Certificate of Service # 11 Certificate of Service (2002 Parties)) (Robinson, Colin) (Entered: 07/06/2021)

Document posted on Jul 5, 2021 in the bankruptcy, 25 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

By this Application, PSZ&J seeks final allowance of compensation in the amount of $178,876.50 and actual and necessary expenses in the amount of $4,818.07 for a total final allowance of $183,694.57 and payment of the unpaid portion of such fees and expenses for the period November 19, 2020 through June 23, 2021 (the “Final Fee Period”), and further seeks the final allowance and payment of fees and costs incurred after June 23, 2021 through the date of the hearing on this Application, in the estimated amount of $20,000.00. To the extent that PSZ&J has incurred fees and expenses in addition to the foregoing, PSZ&J reserves the right, and respectfully requests that the Court authorize PSZ&J, to file a supplemental fee application(s) and submit a certificate of no objection and order to the Court for final approval of such fees and expenses as may be reflected in any supplemental fee application.The names of the timekeepers of PSZ&J who have rendered professional services in this case during the Second Monthly Fee Period are set forth in the attached Exhibit F. PSZ&J, by and through such persons, has prepared and assisted in the preparation of various motions and orders submitted to the Court for consideration, advised the Committee on a regular basis with respect to various matters in connection with the Debtors’ bankruptcy case, and performed all necessary professional services which are described and narrated in detail below.During the Interim Period, the Firm, among other things, (i) reviewed billing invoice; (ii) drafted First Monthly Fee Application; (iii) drafted Notice to First Monthly Fee Application; (iv) prepared, filed and served First Monthly Fee Application; (v) drafted, filed and served Certificate of No Objection to First Monthly Fee Application; and (vi) drafted 2nd (Combined)WHEREFORE, PSZ&J respectfully requests that the Court enter an order, substantially in the form attached hereto, providing that, for the period of November 19, 2020 through June 23, 2021, a final allowance be made to PSZ&J in the sum of $178,876.50 as compensation for reasonable and necessary professional services rendered to the Committee and in the sum of $4,818.07 for reimbursement of actual and necessary costs and expenses incurred, for a total of $183,694.57; that additional final allowance be made to PSZ&J for fees and costs as may be incurred by PSZ&J after June 23, 2021 and through the date of hearing on this Application in an amount presently estimated to be $20,000; that Debtors be authorized to pay to PSZ&J the outstanding amount of such sums; and for such other and further relief as this Court deems proper.

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: Chapter 11 YOUFIT HEALTH CLUBS, LLC, et al.,1 Case No. 20-12841 (MFW) Debtors. Jointly Administered Objection Deadline: July 13, 2021 at 4:00 p.m. Hearing Date: August 3, 2021 at 10:30 a.m. SECOND (COMBINED) MONTHLY AND FINAL APPLICATION FOR COMPENSATION AND REIMBURSEMENT OF EXPENSES OF PACHULSKI STANG ZIEHL & JONES LLP, AS CO-COUNSEL FOR THE OFFICIAL COMMITTEE OF UNSECURED CREDITORS FOR THE PERIOD NOVEMBER 19, 2020 THROUGH JUNE 23, 2021
Table 1 on page 1. Back to List of Tables
Name of Applicant: Pachulski Stang Ziehl & Jones LLP
Authorized to Provide Professional Services
to:
Official Committee of Unsecured Creditors
Date of Retention: November 19, 2020 by Order entered
December 30, 2020
Period for which Compensation and
Reimbursement is Sought:
November 19, 2020 – June 23, 2021
Amount of Compensation Sought as Actual,
Reasonable and Necessary:
$178,876.50
Amount of Expense Reimbursement Sought
as Actual, Reasonable and Necessary:
$ 4,818.07
Rates are Higher than those Approved or
Disclosed at Retention? Yes__ No__
If yes, Total Compensation Sought Using
Rates Disclosed in Retention Application :
As disclosed in its retention application the
Firm’s standard hourly rates are subject to
periodic adjustment. The actual rates charged
are disclosed herein and in the attached invoice.
1 The last four digits of YouFit Health Clubs, LLC’s tax identification number are 6607. Due to the large number of debtor entities in these chapter 11 cases, a complete list of the debtor entities and the last four digits of their federal tax identification numbers is not provided herein. A complete list of such information may be obtained on the website of the claims and noticing agent at www.donlinrecano.com/yfhc. The mailing address for the debtor entities for purposes of these chapter 11 cases is: 1350 E. Newport Center Dr., Suite 110, Deerfield Beach, FL 33442.

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Table 1 on page 2. Back to List of Tables
Name of Applicant: Pachulski Stang Ziehl & Jones LLP
Compensation Sought in this Application
Already Paid Pursuant to a Monthly
Compensation Order but not yet Allowed:
$76,746.00
Expenses Sought in this Application
Already Paid Pursuant to a Monthly
Compensation Order but not yet Allowed:
$ 3,796.08
Number of Professionals Included in this
Application:
11
If Applicable, Number of Professionals in
this Application not Included in Staffing
Plan Approved by Client:
0
If Applicable, Difference Between Fees
Budgeted and Compensation Sought for this
Period:
Number of Professionals Billing Fewer than
15 Hours to the Case During this Period:
7
This is a: monthly interim final application. The total time expended for preparation of this second monthly and final fee application and the review and filing of the final fee applications of other Committee professionals is approximately 10 hours and the corresponding estimated compensation requested is approximately $7,500.00.

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PRIOR MONTHLY APPLICATIONS FILED Date Requested Requested Approved Approved Period Covered Filed Fees Expenses Fees Expenses 02/19/21 11/19/20 – 01/31/21 $95,932.50 $3,796.08 $76,746.00 $3,796.08 PSZ&J PROFESSIONALS FINAL FEE PERIOD NOVEMBER 19, 2020 THROUGH JUNE 23, 2021
Table 1 on page 3. Back to List of Tables
Name of Professional
Individual
Position of the Applicant, Year
of Obtaining License to Practice
Hourly
Billing
Rate
Total
Hours
Billed
Total
Compensation
Bradford J. Sandler Partner 2010; Member NJ & PA
Bars 1996; member DE Bar 2001;
Member NY Bar 2008
$1,295.00
$1,050.00
24.20
27.40
$31,339.00
$28,770.00
Colin R. Robinson Of Counsel 2012; Member NY
Bar 1997; Member NJ & PA Bars
2001; Member DE Bar 2010
$ 925.00
$ 825.00
27.00
39.40
$24,975.00
$32,505.00
Peter J. Keane Of Counsel 2018; Member PA
Bar 2008; Member DE & NH
Bars 2010
$ 750.00 3.80 $ 2,850.00
Patricia E. Cuniff Paralegal $ 460.00
$ 425.00
60.00
18.00
$27,600.00
$ 7,650.00
Elizabeth C. Thomas Paralegal $ 460.00
$ 425.00
0.20
0.10
$ 92.00
$ 42.50
Patricia J. Jeffries Paralegal $ 460.00
$ 425.00
2.10
3.50
$ 966.00
$ 1,487.50
Cheryl A. Knotts Paralegal $ 425.00
$ 395.00
5.70
0.60
$ 2,422.50
$ 237.00
Andrea R. Paul Case Management Assistant $ 375.00
$ 350.00
3.80
7.80
$ 1,425.00
$ 2,730.00

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Table 1 on page 4. Back to List of Tables
Name of Professional
Individual
Position of the Applicant, Year
of Obtaining License to Practice
Hourly
Billing
Rate
Total
Hours
Billed
Total
Compensation
Beatrice M. Koveleski Case Management Assistant $ 375.00
$ 350.00
3.50
5.80
$ 1,312.50
$ 2,030.00
Karen S. Neil Case Management Assistant $ 375.00
$ 350.00
16.80
11.10
$ 6,300.00
$ 3,885.00
Sheryle L. Pitman Case Management Assistant $ 375.00
$ 350.00
0.50
0.20
$ 187.50
$ 70.00
Grand Total: $178,876.50 Total Hours: 261.50 Blended Rate: $684.04

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COMPENSATION BY CATEGORY FINAL FEE PERIOD NOVEMBER 19, 2020 THROUGH JUNE 23, 2021
Table 1 on page 5. Back to List of Tables
Project Categories Total Hours Total Fees
Asset Disposition 31.70 $32,690.50
Bankruptcy Litigation 26.80 $15,198.50
Case Administration 115.20 $55,291.50
Claims Administration/ Objections 2.50 $ 2,943.00
Compensation of Professional 10.70 $ 6,867.50
Compensation of Prof/ Others 12.20 $10,151.50
Employee Benefit/Pension 0.70 $ 832.50
Executory Contracts 1.30 $ 1,387.50
Fee/Employment Application 9.90 $ 8,300.00
Financial Filings 1.60 $ 1,508.00
Financing 13.90 $13,103.00
General Creditors’ Committee 0.90 $ 782.50
Hearings 8.20 $ 6,537.50
Interviews 0.20 $ 165.00
Joint Status Report 0.90 $ 1,165.50
Operations 3.00 $ 3,150.00
Plan & Disclosure Statement 14.50 $15,114.50
Retention of Professional 4.50 $ 1,912.50
Retention of Prof./Others 2.00 $ 850.00
Stay Litigation 0.80 $ 925.50
Total 261.50 $178,876.50
COMPENSATION BY CATEGORY FINAL FEE PERIOD NOVEMBER 19, 2020 THROUGH JUNE 23, 2021 EXPENSE SUMMARY FINAL FEE PERIOD NOVEMBER 19, 2020 THROUGH JUNE 23, 2021
Table 2 on page 5. Back to List of Tables
Expense Category Service Provider2
(if applicable)
Total
Expenses
Conference Call CourtCall $ 159.75
Filing Fee USDC, ServeXpress $ 142.25
Lexis/Nexis – Legal Research $ 250.47
Pacer – Court Research $ 979.10
Postage US Mail $ 13.10
Reproduction Expense $ 697.90
Reproduction/ Scan Copy $2,575.50
Total $4,818.07
2 PSZ&J may use one or more service providers. The service providers identified herein below are the primary service providers for the categories described.

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PSZ&J PROFESSIONALS SECOND MONTHLY FEE PERIOD FEBRUARY 1, 2021 THROUGH JUNE 23, 2021
Table 1 on page 6. Back to List of Tables
Name of Professional
Individual
Position of the Applicant, Year
of Obtaining License to Practice
Hourly
Billing
Rate
Total
Hours
Billed
Total
Compensation
Bradford J. Sandler Partner 2010; Member NJ & PA
Bars 1996; member DE Bar 2001;
Member NY Bar 2008
$1,295.00 24.20 $31,339.00
Colin R. Robinson Of Counsel 2012; Member NY
Bar 1997; Member NJ & PA Bars
2001; Member DE Bar 2010
$ 925.00 23.40 $21,645.00
Patricia E. Cuniff Paralegal $ 460.00 46.20 $21,252.00
Elizabeth C. Thomas Paralegal $ 460.00 0.20 $ 92.00
Patricia J. Jeffries Paralegal $ 460.00 2.10 $ 966.00
Cheryl A. Knotts Paralegal $ 425.00 4.50 $ 1,912.50
Andrea R. Paul Case Management Assistant $ 375.00 3.40 $ 1,275.00
Beatrice M. Koveleski Case Management Assistant $ 375.00 1.30 $ 487.50
Karen S. Neil Case Management Assistant $ 375.00 10.10 $ 3,787.50
Sheryle L. Pitman Case Management Assistant $ 375.00 0.50 $ 187.50
Grand Total: $82,944.00 Total Hours: 115.90 Blended Rate: $715.65

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COMPENSATION BY CATEGORY SECOND MONTHLY FEE PERIOD FEBRUARY 1, 2021 THROUGH JUNE 23, 2021
Table 1 on page 7. Back to List of Tables
Project Categories Total Hours Total Fees
Asset Disposition 8.40 $10,878.00
Bankruptcy Litigation 11.30 $ 7,881.00
Case Administration 55.00 $26,451.00
Claims Administration/ Objections 1.60 $ 1,998.00
Compensation of Professional 10.70 $ 6,867.50
Compensation of Prof/ Others 9.90 $ 8,444.50
Employee Benefit/Pension 0.70 $ 832.50
Executory Contracts 1.30 $ 1,387.50
Financial Filings 0.40 $ 518.00
Financing 0.70 $ 795.50
Joint Status Report 0.90 $ 1,165.50
Plan & Disclosure Statement 14.50 $15,114.50
Stay Litigation 0.50 $ 610.50
Total 115.90 $82,944.00
COMPENSATION BY CATEGORY SECOND MONTHLY FEE PERIOD FEBRUARY 1, 2021 THROUGH JUNE 23, 2021 EXPENSE SUMMARY SECOND MONTHLY FEE PERIOD FEBRUARY 1, 2021 THROUGH JUNE 23, 2021
Table 2 on page 7. Back to List of Tables
Expense Category Service Provider3
(if applicable)
Total
Expenses
Filing Fee ServeXpress $ 71.25
Lexis/Nexis – Legal Research $ 25.54
Pacer – Court Research $ 269.90
Postage US Mail $ 2.40
Reproduction Expense $ 286.00
Reproduction/ Scan Copy $ 366.90
Total $1,021.99
3 PSZ&J may use one or more service providers. The service providers identified herein below are the primary service providers for the categories described.

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: Chapter 11 YOUFIT HEALTH CLUBS, LLC, et al.,1 Case No. 20-12841 (MFW) Debtors. Jointly Administered Objection Deadline: July 13, 2021 at 4:00 p.m. Hearing Date: August 3, 2021 at 10:30 a.m. SECOND (COMBINED) MONTHLY AND FINAL APPLICATION FOR COMPENSATION AND REIMBURSEMENT OF EXPENSES OF PACHULSKI STANG ZIEHL & JONES LLP, AS CO-COUNSEL FOR THE OFFICIAL COMMITTEE OF UNSECURED CREDITORS FOR THE PERIOD NOVEMBER 19, 2020 THROUGH JUNE 23, 2021 Pursuant to sections 330 and 331 of Title 11 of the United States Code (the “Bankruptcy Code”), Rule 2016 of the Federal Rules of Bankruptcy Procedure (collectively, the “Bankruptcy Rules”), and the Court’s Administrative Order Establishing Procedures for Interim Compensation and Reimbursement of Expenses of Professionals Retained in These Chapter 11 Cases, entered on December 3, 2020 [Docket No. 202] (the “Administrative Order”), Pachulski Stang Ziehl & Jones LLP (“PSZ&J” or the “Firm”), counsel for the Official Committee of Unsecured Creditors (the “Committee”), hereby submits its Second (Combined) Monthly and Final Application for Compensation and for Reimbursement of Expenses for the Period from November 19, 2020 through June 23, 2021 (the “Application”). 1 The last four digits of YouFit Health Clubs, LLC’s tax identification number are 6607. Due to the large number of debtor entities in these chapter 11 cases, a complete list of the debtor entities and the last four digits of their federal tax identification numbers is not provided herein. A complete list of such information may be obtained on the website of the claims and noticing agent at www.donlinrecano.com/yfhc. The mailing address for the debtor entities for purposes of these chapter 11 cases is: 1350 E. Newport Center Dr., Suite 110, Deerfield Beach, FL 33442.

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By this Application, PSZ&J seeks final allowance of compensation in the amount of $178,876.50 and actual and necessary expenses in the amount of $4,818.07 for a total final allowance of $183,694.57 and payment of the unpaid portion of such fees and expenses for the period November 19, 2020 through June 23, 2021 (the “Final Fee Period”), and further seeks the final allowance and payment of fees and costs incurred after June 23, 2021 through the date of the hearing on this Application, in the estimated amount of $20,000.00. This Application includes a description of time and costs for the Second (Combined) Monthly Fee Period February 1, 2021 through June 23, 2021 (the “Second Monthly Fee Period”). Time and costs for the Second Monthly Fee Period were not included in any prior fee application. In support of this Application, PSZ&J respectfully represents as follows: Background 1. On November 9, 2020 (the “Petition Date”), each of the Debtors commenced a voluntary case under Chapter 11 of the Bankruptcy Code in this Court. The Debtors are operating their businesses and managing their properties as debtors in possession pursuant to sections 1107(a) and 1108 of the Bankruptcy Code. No trustee or examiner has been appointed in these Cases. 2. The Court has jurisdiction over this matter pursuant to 28 U.S.C. §§ 157 and 1334. This is a core proceeding pursuant to 28 U.S.C. § 157(b)(2). 3. On November 18, 2020, the United States Trustee for Region 3 (the “U.S. Trustee”) appointed the Committee to represent the interests of all unsecured creditors in these cases pursuant to section 1102 of the Bankruptcy Code. The members appointed to the

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Committee are: (i) Gator Flower Mound, LLC; (ii) DF Lexington Properties, LLC; (iii) Hulen Pointe Retail, LLC; (iv) Westwood Plaza, LLC; and (v) Jason Blank. The Notice of Appointment of Committee of Unsecured Creditors [Docket No. 101] was filed on November 18, 2020. 4. On December 3, 2020, the Court entered the Administrative Order, authorizing estate professionals (“Professionals”) to submit monthly applications for interim compensation and reimbursement for expenses, pursuant to the procedures specified therein. The Administrative Order provides, among other things, that a Professional may submit monthly fee applications. If no objections are made within fourteen (14) days after service of the monthly fee application, the Debtors are authorized to pay the Professional an amount equal to the lesser of (i) eighty percent (80%) of the fees and one hundred percent (100%) of the expenses requested in the monthly fee application, and (ii) eighty percent (80%) of the fees and one hundred percent (100%) of the expenses not subject to an objection pursuant to 2(b) of the Administrative Order. Beginning with the period ending February 28, 2021, if any, at three (3) month intervals or at such other intervals convenient to the Court, each Professional shall file and serve on the Notice Parties a request for interim Court approval and allowance, pursuant to section 331 of the Bankruptcy Code, of the compensation and reimbursement of expenses sought in the Monthly Fee Applications filed during the Interim Fee Period. All fees and expenses paid are on an interim basis until final allowance by the Court. 5. Certain professionals are required to comply with disclosures as set forth in the United States Trustee’s Guidelines for Reviewing Applications for Compensation and

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Reimbursement of Expenses Filed under 11 U.S.C. §330 by Attorneys in Larger Chapter 11 Cases Effective as of November 1, 2013 (the “Revised UST Guidelines”). The Office of the United States Trustee has promulgated forms to aid in compliance with the Revised UST Guidelines. Charts and tables based on such forms are attached hereto as exhibits and filled out with data to the extent relevant to these cases: Exhibit “A”, Customary and Comparable Compensation Disclosures with Fee Applications; Exhibit “B”, Summary of Timekeepers Included in this Fee Application, Exhibit “C-1”, Budget; Exhibit “C-2”, Staffing Plan; Exhibit “D-1”, Summary of Compensation Requested by Project Category; Exhibit “D-2”, Summary of Expense Reimbursement Requested by Category; and Exhibit “E”, Summary Cover Sheet of Fee Application. 6. The retention of PSZ&J, as co-counsel to the Committee, was approved effective as of November 19, 2020, by this Court’s Order Authorizing and Approving the Retention of Pachulski Stang Ziehl & Jones LLP as Co-Counsel to the Official Committee of Unsecured Creditors Effective as of November 19, 2020, signed on December 30, 2020 [Docket No. 581] (the “Retention Order”). The Retention Order authorized PSZ&J to be compensated on an hourly basis and to be reimbursed for actual and necessary out-of-pocket expenses. PSZ&J’S APPLICATION FOR COMPENSATION AND FOR REIMBURSEMENT OF EXPENSES Compensation Paid and Its Source 7. The monthly fee application (the “Monthly Fee Applications”) of PSZ&J for the period November 19, 2020 through January 31, 2021 has been filed and served pursuant

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to the Administrative Order. Attached hereto as Exhibit G is a copy of the monthly fee application filed by PSZ&J in the Debtors’ cases. 8. The Monthly Fee Application and the attached Exhibit F covering the Second Monthly Fee Period contain detailed daily time logs describing the actual and necessary services provided by PSZ&J during the period covered by this Application as well as detailed information required to be included in fee applications. 9. All services for which PSZ&J requests compensation were performed for or on behalf of the Committee. PSZ&J has received no payment and no promises for payment from any source other than the Debtors for services rendered or to be rendered in any capacity whatsoever in connection with the matters covered by this Application. There is no agreement or understanding between PSZ&J and any other person other than the partners of PSZ&J for the sharing of compensation to be received for services rendered in this case. PSZ&J has not received a retainer in this case. 10. By this Application, PSZ&J requests that the Court approve the final allowance of compensation for professional services rendered and the reimbursement of actual and necessary expenses incurred by PSZ&J from November 19, 2020 through June 23, 2021. To the extent that PSZ&J has incurred fees and expenses in addition to the foregoing, PSZ&J reserves the right, and respectfully requests that the Court authorize PSZ&J, to file a supplemental fee application(s) and submit a certificate of no objection and order to the Court for final approval of such fees and expenses as may be reflected in any supplemental fee application. In addition, PSZ&J anticipates that it will incur fees and expenses during the time period June

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23, 2021 through the date of the hearing on this Application, primarily related to the preparation, filing and service of this Application and related order, and in appearing on this matter. PSZ&J presently estimates that such fees and costs will be approximately $20,000. PSZ&J does not intend to file a supplemental statement regarding the amount of such fees unless they exceed $20,000. 11. At all relevant times, PSZ&J has been a disinterested person as that term is defined in §101(14) of the Bankruptcy Code and has not represented or held an interest adverse to the interest of the Committee. 12. The professional services and related expenses for which PSZ&J requests final allowance of compensation and reimbursement of expenses were rendered and incurred in connection with these cases in the discharge of PSZ&J’s professional responsibilities as attorneys for the Committee in these chapter 11 cases. PSZ&J’s services have been necessary and beneficial to the Committee, and to the Debtors and their estates, creditors and other parties in interest. Fee Statements Second Monthly Fee Period Fee Statements 13. The fee statement for Second Monthly Period are attached hereto as Exhibit F. This statement contains daily time logs describing the time spent by each attorney and paraprofessional during the Second Monthly Fee Period. To the best of PSZ&J’s knowledge, this Application complies with sections 330 and 331 of the Bankruptcy Code, the Bankruptcy Rules and the Administrative Order. PSZ&J’s time reports are initially handwritten by the attorney or paralegal performing the described services. The time reports are organized on a

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daily basis. PSZ&J is particularly sensitive to issues of “lumping” and, unless time was spent in one time frame on a variety of different matters for a particular client, separate time entries are set forth in the time reports. PSZ&J’s charges for its professional services are based upon the time, nature, extent and value of such services and the cost of comparable services other than in a case under the Bankruptcy Code. PSZ&J has reduced its charges related to any non-working travel time to fifty percent (50%) of PSZ&J’s standard hourly rate. To the extent it is feasible, PSZ&J professionals attempt to work during travel. Actual and Necessary Expenses 14. A summary of actual and necessary expenses incurred by PSZ&J for the Second Monthly Fee Period is attached hereto as part of Exhibit F. PSZ&J customarily charges $0.10 per page for photocopying expenses related to cases, such as this, arising in Delaware. PSZ&J’s photocopying machines automatically record the number of copies made when the person that is doing the copying enters the client’s account number into a device attached to the photocopier. PSZ&J summarizes each client’s photocopying charges on a daily basis. 15. PSZ&J charges $0.25 per page for out-going facsimile transmissions. There is no additional charge for long distance telephone calls on faxes. The charge for outgoing facsimile transmissions reflects PSZ&J’s calculation of the actual costs incurred by PSZ&J for the machines, supplies and extra labor expenses associated with sending telecopies and is reasonable in relation to the amount charged by outside vendors who provide similar services. PSZ&J does not charge the Committee for the receipt of faxes in this case.

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16. With respect to providers of on-line legal research services (e.g., LEXIS and WESTLAW), PSZ&J charges the standard usage rates these providers charge for computerized legal research. PSZ&J bills its clients the actual amounts charged by such services, with no premium. Any volume discount received by PSZ&J is passed on to the client. 17. PSZ&J believes the foregoing rates are the market rates that the majority of law firms charge clients for such services. In addition, PSZ&J believes that such charges are in accordance with the American Bar Association’s (“ABA”) guidelines, as set forth in the ABA’s Statement of Principles, dated March 12, 1995, regarding billing for disbursements and other charges. Summary of Services Rendered 18. The names of the timekeepers of PSZ&J who have rendered professional services in this case during the Second Monthly Fee Period are set forth in the attached Exhibit F. PSZ&J, by and through such persons, has prepared and assisted in the preparation of various motions and orders submitted to the Court for consideration, advised the Committee on a regular basis with respect to various matters in connection with the Debtors’ bankruptcy case, and performed all necessary professional services which are described and narrated in detail below. PSZ&J’s efforts have been extensive due to the size and complexity of the Debtors’ bankruptcy cases. Summary of Services by Project 19. The services rendered by PSZ&J during the Interim Period can be grouped into the categories set forth below. PSZ&J attempted to place the services provided in the

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category that best relates to such services. However, because certain services may relate to one or more categories, services pertaining to one category may in fact be included in another category. These services performed, by categories, are generally described below, with a more detailed identification of the actual services provided set forth on the attached Exhibit F. Exhibit F identifies the attorneys and paraprofessionals who rendered services relating to each category, along with the number of hours for each individual and the total compensation sought for each category. A. Asset Disposition 20. Time billed to this category relates to the disposition of the Debtors’ assets. During the Interim Period, the Firm, among other things: (i) conferred regarding sale issues; and (ii) reviewed Heemst, Tuell and Rone objections. Fees: $10,878.00; Hours: 8.40 B. Bankruptcy Litigation 21. During the Interim Period, the Firm, among other things, reviewed hearing agendas, prepared hearing binders and attended hearing in connection therewith. Fees: $7,881.00; Hours: 11.30 C. Case Administration 22. This category relates to work regarding administration of these cases. During the Interim Period, the Firm, among other things: (i) reviewed correspondence and

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pleadings and forwarded them to appropriate parties; (ii) maintained a memorandum of critical dates; and (iii) maintained service lists. Fees: $26,451.00; Hours: 55.00 D. Claims Administration/ Objections 23. During the Interim Period, the Firm, among other things, (1) reviewed the First Omnibus Claim Objection; (ii) attended to Google Motion; (iii) reviewed notice of submission of claims; (iv) reviewed Partridge equity motion; (v) reviewed motion regarding late filed claims; and (vi) conferred regarding claims. Fees: $1,998.00; Hours: 1.60 E. Compensation of Professional 24. During the Interim Period, the Firm, among other things, (i) reviewed billing invoice; (ii) drafted First Monthly Fee Application; (iii) drafted Notice to First Monthly Fee Application; (iv) prepared, filed and served First Monthly Fee Application; (v) drafted, filed and served Certificate of No Objection to First Monthly Fee Application; and (vi) drafted 2nd (Combined) Monthly Fee Application. Fees: $6,867.50; Hours: 10.70 F. Compensation of Prof/ Others 25. During the Interim Period, the Firm, among other things, (i) reviewed various OCP declarations; (ii) prepared for filing and service and drafted certificate of service for Dundon Advisors LLC’s First Combined and Second (Combined) Monthly Fee Applications; (iii) reviewed, prepared for filing and service and drafted certificate of service for Berger

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Singerman’s Third, Fourth and First Quarterly Fee Applications; (iv) reviewed Phoenix fee application; and (v) prepared and reviewed certificate of no objection to fee applications. Fees: $8,444.50; Hours: 9.90 G. Employee Benefit/Pension 26. During the Interim Period, the Firm reviewed communication regarding bonus retention program. Fees: $832.50; Hours: 0.70 H. Executory Contracts 27. During the Interim Period, the Firm reviewed cure objections and certification of counsel regarding executory contracts. Fees: $1,387.50; Hours: 1.30 I. Financial Filings 28. During the Interim Period, the Firm reviewed monthly operating reports. Fees: $518.00; Hours: 0.40 J. Financing 29. Time billed to this category relates to the Debtors’ proposed debtor-in-possession financing (“DIP”). The Firm billed time to this category, among other things, conferred regarding amendment to DIP credit agreement. Fees: $795.50; Hours: 0.70

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K. Joint Status Report 30. Time billed to this category relates to the Debtors’ Joint Status Report. Fees: $1,165.50; Hours: 0.90 L. Plan & Disclosure Statement 31. During the Interim Period, the Firm, among other things, (i) reviewed and analyzed plan questions; (ii) reviewed, conferred and finalized Liquidating Trust Agreement; (iii) reviewed and responded to plan issues; (iv) reviewed redlined Plan; (v) reviewed Plan objections; (vi) confirmed and reviewed confirmation hearing status. Fees: $15,114.50; Hours: 14.50 M. Stay Litigation 32. During the Interim Period, the Firm reviewed Debtors’ objection to stay relief request and the Cleeland stay relief motion. Fees: $610.50; Hours: 0.50 Valuation of Services 33. Attorneys and paraprofessionals of PSZ&J expended a total 115.90 hours in connection with their representation of the Committee during the Interim Period, as follows:
Table 1 on page 19. Back to List of Tables
Name of Professional
Individual
Position of the Applicant, Year
of Obtaining License to Practice
Hourly
Billing
Rate
Total
Hours
Billed
Total
Compensation
Bradford J. Sandler Partner 2010; Member NJ & PA
Bars 1996; member DE Bar 2001;
Member NY Bar 2008
$1,295.00 24.20 $31,339.00
Colin R. Robinson Of Counsel 2012; Member NY
Bar 1997; Member NJ & PA Bars
2001; Member DE Bar 2010
$ 925.00 23.40 $21,645.00

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Table 1 on page 20. Back to List of Tables
Name of Professional
Individual
Position of the Applicant, Year
of Obtaining License to Practice
Hourly
Billing
Rate
Total
Hours
Billed
Total
Compensation
Patricia E. Cuniff Paralegal $ 460.00 46.20 $21,252.00
Elizabeth C. Thomas Paralegal $ 460.00 0.20 $ 92.00
Patricia J. Jeffries Paralegal $ 460.00 2.10 $ 966.00
Cheryl A. Knotts Paralegal $ 425.00 4.50 $ 1,912.50
Andrea R. Paul Case Management Assistant $ 375.00 3.40 $ 1,275.00
Beatrice M. Koveleski Case Management Assistant $ 375.00 1.30 $ 487.50
Karen S. Neil Case Management Assistant $ 375.00 10.10 $ 3,787.50
Sheryle L. Pitman Case Management Assistant $ 375.00 0.50 $ 187.50
Grand Total: $82,944.00 Total Hours: 115.90 Blended Rate: $715.65 34. The nature of work performed by these persons is fully set forth in Exhibit F attached hereto. These are PSZ&J’s normal hourly rates for work of this character. The reasonable value of the services rendered by PSZ&J for the Committee during the Second Monthly Fee Period is $82,944.00. 35. Attorneys and paraprofessionals of PSZ&J expended a total 261.50 hours in connection with their representation of the Committee during the Final Fee Period, as follows:
Table 2 on page 20. Back to List of Tables
Name of Professional
Individual
Position of the Applicant, Year
of Obtaining License to Practice
Hourly
Billing
Rate
Total
Hours
Billed
Total
Compensation
Bradford J. Sandler Partner 2010; Member NJ & PA
Bars 1996; member DE Bar 2001;
Member NY Bar 2008
$1,295.00
$1,050.00
24.20
27.40
$31,339.00
$28,770.00
Colin R. Robinson Of Counsel 2012; Member NY
Bar 1997; Member NJ & PA Bars
2001; Member DE Bar 2010
$ 925.00
$ 825.00
27.00
39.40
$24,975.00
$32,505.00

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Table 1 on page 21. Back to List of Tables
Name of Professional
Individual
Position of the Applicant, Year
of Obtaining License to Practice
Hourly
Billing
Rate
Total
Hours
Billed
Total
Compensation
Peter J. Keane Of Counsel 2018; Member PA
Bar 2008; Member DE & NH
Bars 2010
$ 750.00 3.80 $ 2,850.00
Patricia E. Cuniff Paralegal $ 460.00
$ 425.00
60.00
18.00
$27,600.00
$ 7,650.00
Elizabeth C. Thomas Paralegal $ 460.00
$ 425.00
0.20
0.10
$ 92.00
$ 42.50
Patricia J. Jeffries Paralegal $ 460.00
$ 425.00
2.10
3.50
$ 966.00
$ 1,487.50
Cheryl A. Knotts Paralegal $ 425.00
$ 395.00
5.70
0.60
$ 2,422.50
$ 237.00
Andrea R. Paul Case Management Assistant $ 375.00
$ 350.00
3.80
7.80
$ 1,425.00
$ 2,730.00
Beatrice M. Koveleski Case Management Assistant $ 375.00
$ 350.00
3.50
5.80
$ 1,312.50
$ 2,030.00
Karen S. Neil Case Management Assistant $ 375.00
$ 350.00
16.80
11.10
$ 6,300.00
$ 3,885.00
Sheryle L. Pitman Case Management Assistant $ 375.00
$ 350.00
0.50
0.20
$ 187.50
$ 70.00
Grand Total: $178,876.50 Total Hours: 261.50 Blended Rate: $684.04 Statement from PSZ&J 36. Pursuant to the Appendix B Guidelines for Reviewing Application for Compensation and Reimbursement of Expenses Filed Under United States Code by Attorneys in Larger Chapter 11 Cases, PSZ&J responds to the following questions regarding the Application:

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Table 1 on page 22. Back to List of Tables
Question Yes No Additional
Explanation or
Clarification
Did you agree to any variations from, or
alternatives to, your standard or customary
billing rates, fees or terms for services
pertaining to this engagement that were
provided during the application period? If
so, please explain.
No
If the fees sought in this fee application as
compared to the fees budgeted for the
time period covered by this fee application
higher by 10% or more, did you discuss
the reasons for the variation with the
client?
No
Have any of the professionals included in
this fee application varied their hourly rate
based on the geographic location of the
bankruptcy case?
No
Does the fee application include time or
fees related to reviewing or revising time
records or preparing, reviewing, or
revising invoices?
No
Does this fee application include time or
fees for reviewing time records to redact
any privileged or other confidential
information? If so, please quantify by
hours and fees.
Yes Time incurred
reviewing and
preparing PSZ&J
monthly fee
applications.
If the fee application includes any rate
increases since retention in these Cases:
i. Did your client review and
approve those rate increases in
advance?
ii. Did your client agree when
retaining the law firm to accept
all future rate increases? If not,
did you inform your client that
they need not agree to
modified rates or terms in
order to have you continue the
representation, consistent with
ABA Formal Ethics Opinion
11-458?
Yes

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37. In accordance with the factors enumerated in section 330 of the Bankruptcy Code, it is respectfully submitted that the amount requested by PSZ&J is fair and reasonable given (a) the complexity of these cases, (b) the time expended, (c) the nature and extent of the services rendered, (d) the value of such services, and (e) the costs of comparable services other than in a case under the Bankruptcy Code. Moreover, PSZ&J has reviewed the requirements of Del. Bankr. LR 2016-2 and the Administrative Order and believes that this Application complies with such Rule and Order. WHEREFORE, PSZ&J respectfully requests that the Court enter an order, substantially in the form attached hereto, providing that, for the period of November 19, 2020 through June 23, 2021, a final allowance be made to PSZ&J in the sum of $178,876.50 as compensation for reasonable and necessary professional services rendered to the Committee and in the sum of $4,818.07 for reimbursement of actual and necessary costs and expenses incurred, for a total of $183,694.57; that additional final allowance be made to PSZ&J for fees and costs as may be incurred by PSZ&J after June 23, 2021 and through the date of hearing on this Application in an amount presently estimated to be $20,000; that Debtors be authorized to pay to

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PSZ&J the outstanding amount of such sums; and for such other and further relief as this Court deems proper. Dated: July 6, 2021 PACHULSKI STANG ZIEHL & JONES LLP /s/ Colin R. Robinson Bradford J. Sandler (DE Bar No. 4142) Colin R. Robinson (DE Bar No. 5524) 919 N. Market Street, 17th Floor Wilmington, DE 19801 Telephone: (302) 652-4100 Facsimile: (302) 652-4400 Email: bsandler@pszjlaw.com crobinson@pszjlaw.com Counsel for the Official Committee of Unsecured Creditor

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DECLARATION STATE OF DELAWARE : : COUNTY OF NEW CASTLE : Bradford J. Sandler, after being duly sworn according to law, deposes and says: a) I am a partner with the applicant law firm Pachulski Stang Ziehl & Jones LLP, and am admitted to appear before this Court. b) I am familiar with many of the legal services rendered by Pachulski Stang Ziehl & Jones LLP as counsel to the Committee. Capitalized terms used in this Declaration have the same meanings ascribed in the Second (Combined) Monthly and Final Application for Compensation and Reimbursement of Expenses of Pachulski Stang Ziehl & Jones LLP as Counsel for the Official Committee of Unsecured Creditors for the Period November 19, 2020 through June 23, 2021 (the “Application”). c) I have reviewed the foregoing Application and the facts set forth therein are true and correct to the best of my knowledge, information and belief. Moreover, I have reviewed Del. Bankr. LR 2016-2, the Administrative Order signed on or about December 3, 2020 and submit that the Application substantially complies with such rule and orders. /s/ Bradford J. Sandler Bradford J. Sandler

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