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Full title: Interim Application for Compensation / Fifth Interim Fee Application of Cole Schotz P.C. for Allowance of Compensation and Reimbursement of Expenses as Counsel to the Debtors and Debtors-in-Possession for the period June 1, 2021 to August 31, 2021 Filed by Advantage Holdco, Inc.. Hearing scheduled for 11/3/2021 at 01:00 PM at US Bankruptcy Court, 824 Market St., 3rd Fl., Courtroom #7, Wilmington, Delaware. Objections due by 10/27/2021. (Attachments: # (1) Notice) (Roth-Moore, Andrew)

Document posted on Oct 5, 2021 in the bankruptcy, 19 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

Hearing Date: November 3, 2021 at 1:00 p.m. ET FIFTH INTERIM FEE APPLICATION OF COLE SCHOTZ P.C. FOR COMPENSATION FOR SERVICES RENDERED AND REIMBURSEMENT OF EXPENSES AS COUNSEL TO THE DEBTORS AND DEBTORS-IN-POSSESSION FOR THE PERIOD FROM JUNE 1, 2021 THROUGH AUGUST 31, 2021 Cole Schotz P.C. (the “Applicant” or “Cole Schotz”), counsel to Advantage Holdco, Inc. and certain of its affiliates, the debtors and debtors-in-possession in the above-captioned cases (collectively, the “Debtors”), submits this fifth interim fee application (the “Application”), pursuant to sections 330 and 331 of title 11 of the United States Code, 11 U.S.C. §§ 101-1532 (the “Bankruptcy Code”), Rule 2016(a) of the Federal Rules of Bankruptcy Procedure (the “Bankruptcy Rules”), Rule 2016-2 of the Local Rules of Bankruptcy Practice and Procedure of the United States Bankruptcy Court for the District of Delaware (the “Local Rules”), and the Order Establishing Procedures for Interim Compensation and Reimbursement of Expenses of Professionals [Docket No.Specifically, the Interim Compensation Order provides that a Retained Professional may file and serve a Monthly Fee Application on or after the fifteenth (15th) day of each calendar month for which compensation is sought seeking interim allowance of its fees and expenses for services rendered and reimbursement of expenses incurred during any preceding month.Provided that there are no objections to the Monthly Fee Application filed within fifteen (15) days after the service of a Monthly Fee Application, the Retained Professional may file a certificate of no objection with the Court, after which the Debtors are authorized to pay such Retained Professional eighty percent (80%) of the fees and one-hundred percent (100%) of the expenses requested in such Monthly Fee Application.WHEREFORE, Cole Schotz respectfully requests the Court enter an order (a) approving the Application; (b) awarding Cole Schotz compensation for the Interim Application Period in the amount of $233,092.00 and reimbursement for actual and necessary expenses in the amount of $1,029.95; (c) authorizing the payment of such sums to Cole Schotz pursuant to the Interim Compensation Order; and (d) granting such other and further relief as the Court may deem just and proper. ee period coveredbyInterim Fee Application June1, 2021–August31,2021otal compensationsought during Fee Period $233,092.00 otal expenses soughtduring FeePeriod $1,029.95 etition Date

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: Chapter 11 ADVANTAGE HOLDCO, INC., et al., Case No. 20-11259 (CTG) Debtors.1 (Jointly Administered) Objection Deadline: October 27, 2021 at 4:00 p.m. ET Hearing Date: November 3, 2021 at 1:00 p.m. ET FIFTH INTERIM FEE APPLICATION OF COLE SCHOTZ P.C. FOR COMPENSATION FOR SERVICES RENDERED AND REIMBURSEMENT OF EXPENSES AS COUNSEL TO THE DEBTORS AND DEBTORS-IN-POSSESSION FOR THE PERIOD FROM JUNE 1, 2021 THROUGH AUGUST 31, 2021 Name of Applicant: Cole Schotz P.C. Authorized to provide professional servicesto: Advantage Holdco, Inc., et al. Date of Retention: June 29, 2020 nunc pro tunc to May 26, 2020 Period for which Compensation and Reimbursement isSought: June 1, 2021 through August 31, 2021 Amount of Compensation Sought as Actual, Reasonable and Necessary: $233,092.00 Amount of Expense Reimbursement Sought as Actual, Reasonable and Necessary: $1,029.95 This is a(n): _ monthly __X__ interim _____final application 1 The Debtors in these cases, along with the last four digits of each Debtor’s federal tax identification number, are: Advantage Holdco, Inc. (4832); Advantage Opco, LLC (9101); Advantage Vehicles LLC (6217); E-Z Rent A Car, LLC (2538); Central Florida Paint & Body, LLC (1183); Advantage Vehicle Financing LLC (7263); and RAC Vehicle Financing, LLC (8375). The Debtors’ address is PO Box 2818, Windermere, FL, 34786.

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Prior Applications Filed: Application Date Period Approved Approved Filed Covered Fees Expenses 1st Interim 10/8/2020 5/26/2020 – $1,352,783.00 $8,893.09 Application 8/31/2020 [D.I. 539] 2nd Interim 1/22/2021 9/1/2020 – $370,484.50 $4,156.73 Application 11/30/2020 [D.I. 665] 3rd Interim 3/30/2021 12/1/2020 – $191,328.00 $617.92 Application 2/28/2021 [D.I. 744] 4th Interim 7/1/2021 3/1/2021 – $358,408.00 $718.21 Application 5/31/2021 [D.I. 865]

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SUMMARY OF FEES AND EXPENSES REQUESTED
Table 1 on page 3. Back to List of Tables
Monthly Application None Requested Fees
and Expenses
None Fees and Expenses
Paid or To Be Paid
None
Monthly Fee Period,
Application DI No.,
and Date Filed
CNO
DI No. and
Date Filed
Total Fees
Requested
Total
Expenses
Requested
Amount of
Fees Paid or
To Be Paid
(80%)
Amount of
Expenses
Paid or To
Be Paid
(100%)
6/1/21 – 6/30/21
D.I.876; 7/19/21
D.I. 893
8/5/2021
$77,790.00 $239.00 $62,232.00 $239.00
7/1/21 – 7/31/21
D.I.904; 8/18/21
D.I. 925
9/3/2021
$76,083.50 $162.09 $60,866.80 $162.09
8/1/21 – 8/31/21
D.I. 947;9/17/21
D.I. 968
10/5/2021
$79,218.50 $628.86 $63,374.80 $628.86
TOTALS None $233,092.00 $1,029.95 $186,473.60 $1,029.95

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: Chapter 11 ADVANTAGE HOLDCO, INC., et al., Case No. 20-11259 (CTG) Debtors.1 (Jointly Administered) Objection Deadline: October 27, 2021 at 4:00 p.m. ET Hearing Date: November 3, 2021 at 1:00 p.m. ET FIFTH INTERIM FEE APPLICATION OF COLE SCHOTZ P.C. FOR COMPENSATION FOR SERVICES RENDERED AND REIMBURSEMENT OF EXPENSES AS COUNSEL TO THE DEBTORS AND DEBTORS-IN-POSSESSION FOR THE PERIOD FROM JUNE 1, 2021 THROUGH AUGUST 31, 2021 Cole Schotz P.C. (the “Applicant” or “Cole Schotz”), counsel to Advantage Holdco, Inc. and certain of its affiliates, the debtors and debtors-in-possession in the above-captioned cases (collectively, the “Debtors”), submits this fifth interim fee application (the “Application”), pursuant to sections 330 and 331 of title 11 of the United States Code, 11 U.S.C. §§ 101-1532 (the “Bankruptcy Code”), Rule 2016(a) of the Federal Rules of Bankruptcy Procedure (the “Bankruptcy Rules”), Rule 2016-2 of the Local Rules of Bankruptcy Practice and Procedure of the United States Bankruptcy Court for the District of Delaware (the “Local Rules”), and the Order Establishing Procedures for Interim Compensation and Reimbursement of Expenses of Professionals [Docket No. 372](the “Interim Compensation Order”),2 for allowance of compensation for professional legal services rendered and reimbursement of actual and necessary expenses incurred for the period from June 1, 2021 through August 31, 2021 (the “Interim Application Period”), and respectfully represents as follows: 1 The Debtors in these cases, along with the last four digits of each Debtor’s federal tax identification number, are: Advantage Holdco, Inc. (4832); Advantage Opco, LLC (9101); Advantage Vehicles LLC (6217); E-Z Rent A Car, LLC (2538); Central Florida Paint & Body, LLC (1183); Advantage Vehicle Financing LLC (7263); and RAC Vehicle Financing, LLC (8375). The Debtors’ address is PO Box 2818, Windermere, FL, 34786. 2 Capitalized terms not defined herein shall have the meanings ascribed to them in the Interim Compensation Order.

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JURISDICTION AND VENUE 1. The Court has jurisdiction to consider this Application pursuant to 28 U.S.C. § 1334. This is a core proceeding pursuant to 28 U.S.C. § 157(b). Venue is proper in this District pursuant to 28 U.S.C. §§ 1408 and 1409. 2. The statutory predicates for the relief sought herein are sections 330 and 331 of the Bankruptcy Code. Such relief is also warranted under Bankruptcy Rule 2016(a), Local Rule 2016-2, and the Interim Compensation Order. BACKGROUND A. The Chapter 11 Cases 3. On May 26, 2020 (the “Petition Date”), the Debtors each commenced with this Court a voluntary case under chapter 11 of title 11 of the United States Code (the “Chapter 11 Cases”). The Debtors continue to operate their businesses and manage their properties as debtors-in-possession pursuant to sections 1107(a) and 1108 of the Bankruptcy Code. A trustee has been appointed in the Chapter 11 Cases. 4. On June 9, 2020, the United States Trustee for the District of Delaware (the “U.S. Trustee”) filed the Notice of Appointment of Committee of Unsecured Creditors [Docket No. 140]. B. The Retention of Cole Schotz 5. On June 5, 2020, the Debtors applied [Docket No. 127] to the Court for an order authorizing the retention and employment of Cole Schotz as the Debtors’ counsel, nunc pro tuncto May 26, 2020. On June 29, 2020, the Court entered an order (the “Retention Order”) [Docket No. 306] authorizing such retention3. 3 As set forth in the Retention Order, Cole Schotz intends to make reasonable efforts to comply with the U.S. Trustee’s request for information and additional disclosures as set forth in the Guidelines for Reviewing Applications

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C. The Interim Compensation Order 6. On July 22, 2020, the Court entered the Interim Compensation Order which sets forth the procedures for monthly and interim compensation and reimbursement of expenses in these Chapter 11 Cases [Docket No. 372]. Specifically, the Interim Compensation Order provides that a Retained Professional may file and serve a Monthly Fee Application on or after the fifteenth (15th) day of each calendar month for which compensation is sought seeking interim allowance of its fees and expenses for services rendered and reimbursement of expenses incurred during any preceding month. Provided that there are no objections to the Monthly Fee Application filed within fifteen (15) days after the service of a Monthly Fee Application, the Retained Professional may file a certificate of no objection with the Court, after which the Debtors are authorized to pay such Retained Professional eighty percent (80%) of the fees and one-hundred percent (100%) of the expenses requested in such Monthly Fee Application. If an objection is filed to the Monthly Fee Application, then the Debtors are authorized to pay 80% of the fees and 100% of the expenses not subject to objection. 7. The Interim Compensation Order further provides that, at three-month intervals, a Retained Professional shall file and serve an application for interim approval and allowance of compensation and reimbursement of expenses sought by such Retained Professional in its Monthly Fee Applications, including any amounts requested in Monthly Fee Applications but yet unpaid, filed during the preceding three-month, interim period. for Compensation and Reimbursement of Expenses Filed under 11 U.S.C. § 330 by Attorneys in Larger Chapter 11 Cases Effective as of November 1, 2013, in connection with the interim and final fee applications to be filed by Cole Schotz in these Chapter 11 Cases.

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RELIEF REQUESTED 8. By this Application, Applicant seeks interim approval and allowance of compensation in the amount of $233,092.00 for professional services rendered, and reimbursement of actual and necessary expenses in the amount of $1,029.95 incurred, during the Interim Application Period. Cole Schotz incorporates herein by reference each of its Monthly Fee Applications filed during the Interim Application Period together with the corresponding certifications of no objections.4 SUMMARY OF SERVICES 9. During the Interim Application Period, Cole Schotz worked closely with the Debtors and the Debtors’ other professionals to achieve the Debtors’ objectives. The following summary highlights the major areas in which Applicant rendered services to the Debtors during the Interim Application Period: 10. Asset Analysis and Recovery (25.8 hours; $12,900.00). This category includes time spent (i) reviewing the final accountings provided by Debtors’ vehicle fleet lenders, (ii) analyzing potential fleet equity recovery and potential claims against Debtors’ vehicle fleet vendors, and (iii) conferring with the Debtors’ management with respect to the same. 11. Case Administration (25.4 hours; $14,303.50). This category includes time spent on a number of different tasks necessary to comply with the requirements of this Court and the Bankruptcy Code, including without limitation, reviewing general case documents, reviewing and maintaining a case calendar, maintaining a critical dates chart, scheduling of hearings with the Court, responding to general case inquiries, conferencing with the Debtors regarding tasks, 4See Docket Nos. 876 (Monthly Fee Application for June 2021), 893 (CNO for Monthly Fee Application for June 2021), 904 (Monthly Fee Application for July 2021), 925 (CNO for Monthly Fee Application for July 2021), 947 (Monthly Fee Application for August 2021), and 968 (CNO for Monthly Fee Application for August 2021).

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division of labor, and strategies, and other miscellaneous tasks not otherwise separately classifiable. 12. Claims Analysis, Administration and Objections (129.6 hours; $67,482.00). This category includes, among other things, time spent (i) conducting legal research on the merits of claims, (ii) preparing and filing a Motion for Entry of an Order Clarifying the Court’s Vehicle Surrender Orders with Respect to Continuing Liabilities (“Motion for Clarification”), (iii) reviewing various objections to the Motion for Clarification, (iv) preparing and filing Debtors’ Reply in Support of its Motion for Clarification, (v) preparing and filing a Motion to Establish a Supplemental Vehicle Claims Bar Date, and (vi) negotiating and preparing stipulations and agreements with adversaries to resolve various claims and claims objections. 13. Fee Application Matters/Objections (39.8 hours; $14,593.00). This category includes time spent by Cole Schotz professionals and paraprofessionals in connection with the preparation of Cole Schotz’s monthly and interim fee statements and fee applications. During the compensation period, these efforts included ensuring that the schedules attached to the monthly fee statements complied with the Fee Guidelines. To minimize costs in connection with this time-intensive process, Cole Schotz relied on paraprofessionals to prepare the initial drafts of the monthly fee statements and interim fee applications, thereby limiting the time spent by counsel on the review of fees, where reasonably practicable. 14. Reorganization Plan (149.0 hours; $86,136.50). This category includes time spent (i) reviewing and revising a draft combined plan and disclosures statement and various plan exhibits, (ii) conferring with the Debtors’ management and other professionals and counsel to the Committee and the Debtors’ DIP lender regarding the draft combined plan and disclosures

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statement and various plan exhibits; and (iii) drafting, finalizing, and filing a Chapter 11 Plan of Liquidation. THE INTERIM FEE APPLICATION AND COMPLIANCE WITH GUIDELINES 15. This Application was prepared in accordance with (a) Local Rule 2016-2, (b) the United States Trustee Guidelines for Reviewing Applications for Compensation and Reimbursement of Expenses Filed Under 11 U.S.C. § 330 by Attorneys in Larger Chapter 11 Cases, adopted on June 11, 2013 (the “UST Guidelines”), and (c) the Interim Compensation Order (collectively with Local Rule 2016-2 and the UST Guidelines, the “Guidelines”). 16. Annexed hereto are various schedules required by the Guidelines, as applicable. 17. Applicant provides the following responses to the questions set forth under ¶ C.5 of Appendix B of the UST Guidelines: Question: 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. Response: No. Question: If the fees sought in this fee application as compared to the fees budgeted for the time period covered by this fee application are higher by 10% or more, did you discuss the reasons for the variation with the client? Response: The fees sought in this Interim Fee Application are not more than 10% of what was budgeted. Question: Have any of the professionals included in this fee application varied their hourly rates based on the geographic location of the bankruptcy case. Response: No. Question: Does the fee application include time or fees related to reviewing or revising time records or preparing, reviewing, or revising invoices? If so, please quantify by hours and fees. Response: No.

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Question: 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. Response: No. Question: Does this fee application include rate increases since retention? Response: Yes. As disclosed in Cole Schotz’ retention application, its hourly rates are subject to periodic adjustments to reflect economic and other conditions and increase in a professional’s level of experience. Consistent with its standard practice, Cole Schotz increased its hourly rates on or about September 1, 2020. See Applicant’s Notice of Increase of the Hourly Rates of Professionals, filed January 15, 2021 [Docket No. 653]. REASONABLE AND NECESSARY SERVICES 18. The services for which Applicant seeks compensation were, at the time rendered, necessary for, beneficial to, and in the best interests of the Debtors’ estates. The services rendered were consistently performed in a timely manner commensurate with the complexity, importance, and nature of the issues involved. In accordance with the factors enumerated in section 330 of the Bankruptcy Code, it is respectfully submitted that the amount requested by Applicant 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 this title. NOTICE 19. Pursuant to the Interim Compensation Order, this Application is being served upon the Fee Notice Parties and notice of the hearing on the Application is being served on all parties that have requested notice in the Chapter 11 Cases pursuant to Bankruptcy Rule 2002. WHEREFORE, Cole Schotz respectfully requests the Court enter an order (a) approving the Application; (b) awarding Cole Schotz compensation for the Interim Application Period in

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the amount of $233,092.00 and reimbursement for actual and necessary expenses in the amount of $1,029.95; (c) authorizing the payment of such sums to Cole Schotz pursuant to the Interim Compensation Order; and (d) granting such other and further relief as the Court may deem just and proper. Dated: October 6, 2021 Wilmington, Delaware COLE SCHOTZ P.C. /s/ Andrew J. Roth-Moore Norman L. Pernick (No. 2290) Justin R. Alberto (No. 5126) Patrick J. Reilley (No. 4451) Andrew J. Roth-Moore (No. 5988) 500 Delaware Avenue, Suite 1410 Wilmington, Delaware 19801 Telephone: (302) 652-3131 Facsimile: (302) 652-3117 npernick@coleschotz.com jalberto@coleschotz.com preilley@coleschotz.com aroth-moore@coleschotz.com Counsel for Debtors and Debtors in Possession

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CUSTOMARY AND COMPARABLE COMPENSATION DISCLOSURES The aggregate hourly rate for all Cole Schotz Delaware and New Jersey non-bankruptcy timekeepers (including both attorneys and paralegals) (the “Non-Bankruptcy Blended Rate”) for the year ending December 31, 2020 (the “Comparable Period”) was $485.34 per hour, and the aggregate hourly rate for all Cole Schotz Delaware and New Jersey bankruptcy timekeepers (including both attorneys and paralegals) (the “Bankruptcy Blended Rate”) for the Comparable Period was $523.92 per hour. The blended hourly rate for all Cole Schotz timekeepers (including both attorneys and paralegals) who provided services to the Debtors during the Application Period was approximately $523.92 per hour.
Table 1 on page 12. Back to List of Tables
Category of
Timekeeper
2020
Bankruptcy
Blended
Rate
2020
Non-Bankruptcy
Blended Rate
Application Period
Blended Rate
Member $608.00 $601.00 $898.30
Special Counsel $685.00 $495.00 N/A
Associate $343.00 $351.00 $453.13
Paralegal $286.00 $256.00 $314.71
Aggregate $523.00 $487.00 None $523.921
1 The blended rate is the actual blended rate during the Application Period and includes “other” timekeepers specifically categorized in the Summary of Timekeepers.

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SUMMARY OF TIMEKEEPERS INCLUDED IN INTERIM FEE APPLICATION JUNE 1, 2021 THROUGH AUGUST 31, 2021 Name of Date of Bar Position with the Hourly Total Total Professional Admission Applicant and Billing Rate2 Billed CompensationPerson Number of Hours Years in that Position 1985 Member $1,025.00 56.1 $57,502.50 Norman L. Pernick (Bankruptcy) (since2008) 2008 Member $645.00 11.1 $7,159.50 Justin R. Alberto (Bankruptcy) (since2020) 2003 Member $640.00 4.7 $3,008.00 Patrick J. Reilley (Bankruptcy) (since 2011) 1999 Member $690.00 12.4 $8,556.00 Daniel F. Geoghan (Bankruptcy) (since 2005) 1994 Member $825.00 0.7 $577.50 David Bass (Bankruptcy) (since 2006) Member 1.7 $1,079.50 Jamie P. Clare 1994 (Environmental) $635.00 (since 2001) 2013 Associate $500.00 254.0 $127,000.00 Andrew Roth-Moore (Bankruptcy) (since2020) 2021 Associate $225.00 46.3 $10,417.50 Jack Dougherty (Bankruptcy) (since 2020) Associate 1.8 $567.00 Jeffrey Sauer 2018 (Bankruptcy) $315.00 (since 2019) Associate 1.4 $315.00 Peter Strom 2021 (Bankruptcy) $225.00 (since 2021) N/A Law Clerk $225.00 3.4 $765.00 Michael Fitzpatrick (Bankruptcy) (since 2020) N/A Paralegal $315.00 48.9 $15,403.50 Larry Morton (Bankruptcy) 2 The rate represents the regular hourly rate for each attorney and paraprofessional who rendered legal services. All hourly rates are adjusted by Applicant on a periodic basis (the last such adjustment occurred on September 1, 2021).

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(since 2020) N/A Paralegal $300.00 1.0 $300.00 Jennifer L. Ford (Bankruptcy) (since 2019) Pauline Z. Ratkowiak N/A Paralegal $315.00 1.4 $441.00 (Bankruptcy) (since 2008) Total Incurred 444.9 $233,092.00 Total Requested Compensation $233,092.00 Total Attorney Compensation $216,947.50 Blended Rate All Attorneys $551.19 Blended Rate All Timekeepers $523.92

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In re Advantage Holdco, Inc., et al. Case No. 20-11259 (JTD) (Bankr. D. Del.) STAFFING PLAN FOR COLE SCHOTZ P.C. JUNE 1, 2021 – AUGUST 31, 2021
Table 1 on page 15. Back to List of Tables
Category of Timekeeper Estimated Number of Timekeepers
Expected to Work on Matter
During the Budget Period
Average
Hourly Rate
Members 6 $745.00
Associates 4 $320.00
Paralegals 2 $300.00
Estimated Blended Hourly Rate $600.00

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BUDGET FOR COLE SCHOTZ P.C. JUNE 1, 2021 – AUGUST 31, 2021
Table 1 on page 16. Back to List of Tables
Project Category Budgeted
Hours
Budgeted Fees
(estimated blended rate of $600)
Asset Analysis and Recovery 40 $24,000.00
Asset Dispositions, Sales, Uses, and Leases
(Section 363)
20 $12,000.00
Automatic StayMatters/Litigation 20 $12,000.00
Bank Claims and LitigationMatters 0 $0.00
Budgeting (Case) 0 $0.00
Business Operations 30 $18,000.00
Case Administration 50 $30,000.00
Cash Collateral and DIP Financing 0 $0.00
Claims Analysis, Administration and
Objections
250 $150,000.00
Committee Matters and Creditor Meetings 0 $0.00
Creditor Inquiries 5 $3,000.00
Disclosure Statement/VotingIssues 10 $6,000.00
Document Review 0 $0.00
Document Review/Committee Investigation 0 $0.00
Employee Matters 0 $0.00
Executory Contracts 5 $3,000.00
Fee Application Matters/Objections 50 $30,000.00
General Corporate Advice 0 $0.00
Leases (Personal PropertyandFinancing) 0 $0.00
Leases (Real Property) 5 $3,000.00
Litigation/Gen. (Except Automatic StayRelief) 10 $6,000.00
Preferences and Avoidance Actions 20 $12,000.00
Preparationforand Attendance at Hearings 25 $15,000.00
Reorganization Plan 250 $150,000.00
Reports; Statements and Schedules 20 $12,000.00
RetentionMatters 10 $6,000.00
Tax / General 10 $6,000.00
U.S. Trustee Matters and Meetings 5 $3,000.00
Utilities/Sec. 366 Issues 0 $0.00
Vendor Matters 0 $0.00
Total Incurred (Estimate) 835 $501,000.00

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SUMMARY OF COMPENSATION REQUESTED BY PROJECT CATEGORY JUNE 1, 2021 THROUGH AUGUST 31, 2021 Project Category Budgeted Budgeted Fees Total Total Fees Hours (estimated blended Hours rate of $600.00) Asset Analysis and Recovery 40 $24,000.00 25.8 $12,900.00 Asset Dispositions, Sales, Uses, and 5.6 $2,637.50 20 $12,000.00 Leases (Section 363) Automatic Stay Matters/Litigation 20 $12,000.00 4.3 $1,491.50BankClaims and LitigationMatters 0 $0.00 0.0 $0.00 Budgeting (Case) 0 $0.00 0.0 $0.00 Business Operations 30 $18,000.00 17.9 $9,848.50 Case Administration 50 $30,000.00 25.4 $14,303.50 Cash Collateral and DIP Financing 0 $0.00 0.1 $102.50 Claims Analysis, Administration and 129.6 $67,482.00 250 $150,000.00 Objections Committee Matters and Creditor 0.0 $0.00 0 $0.00 Meetings Creditor Inquiries 5 $3,000.00 0.3 $192.50 Disclosure Statement/Voting Issues 10 $6,000.00 1.6 $1,001.00Document Review 0 $0.00 0.0 $0.00 Document Review/Committee 0.0 $0.00 0 $0.00 Investigation Employee Matters 0 $0.00 0.0 $0.00 Executory Contracts 5 $3,000.00 0.7 $717.50 Fee Application Matters/Objections 50 $30,000.00 39.8 $14,593.00General Corporate Advice 0 $0.00 3.7 $1,850.00 Leases (Personal Property and 0.0 $0.00 0 $0.00 Financing) Leases (Real Property) 5 $3,000.00 0.0 $0.00 Litigation/Gen. (Except Automatic 0.0 $0.00 10 $6,000.00 StayRelief) Preferences and Avoidance Actions 20 $12,000.00 4.9 $2,821.00Preparation for and Attendance at 7.8 $2,538.50 25 $15,000.00 Hearings Reorganization Plan 250 $150,000.00 149.0 $86,136.50 Reports; Statements and Schedules 20 $12,000.00 13.4 $7,119.50RetentionMatters 10 $6,000.00 7.0 $3,366.00 Tax / General 10 $6,000.00 6.8 $3,557.50 U.S. Trustee Matters and Meetings 5 $3,000.00 1.2 $433.50 Utilities/Sec. 366 Issues 0 $0.00 0.0 $0.00 Vendor Matters 0 $0.00 0.0 $0.00 Total Incurred 835 $501,000.00 444.9 $233,092.00 Total Requested: 835 $501,000.00 444.9 $233,092.00

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SUMMARY OF EXPENSE REIMBURSEMENT BY CATEGORY JUNE 1, 2021 THROUGH AUGUST 31, 2021 Expense Category Service Provider Total Expenses (if applicable) Photocopying/Printing/Scanning $8.00 Conference Calls CourtCall $11.72 Court Fees $57.90 Depositions Transcript $67.90 Outside Printing $106.00 Online Research $778.43 TOTAL $1,029.95

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SUMMARY OF INTERIM FEE APPLICATION ameofApplicant Cole Schotz P.C. ame of Client AdvantageHoldco,Inc.,etal. ee period coveredbyInterim Fee Application June1, 2021–August31,2021otal compensationsought during Fee Period $233,092.00 otal expenses soughtduring FeePeriod $1,029.95 etition Date May 26, 2020 etention Date June29, 2020 nunc pro tuncto May 26, 2020 ate of order approving employment June 29, 2020 otal compensation approved by interim orderto date $2,273,003.50otal expenses approved by interimorderto date $14,385.95 otal allowed compensation paid to date $2,273,003.50 otalallowed expenses paidto date $14,385.95 lended rate in InterimFee Applicationfor all Attorneys $551.19lended ratein Interim Fee Application for allTimekeepers $523.92ompensation sought in this Interim Fee Application $186,473.60 ready paid pursuant to a monthly compensation order ut not yet allowed xpenses sought in this Interim Fee Application already paid $1,029.95 ursuant toa monthly compensation order but not yetallowed umber of professionals included in this 14 terim FeeApplication applicable, number of professionals in this Interim Fee 2 pplication not included in staffing plan applicable, difference between fees budgeted and Budgeted: $501,000.00 mpensation soughtforthis Fee Period Actual:$233,092.00 umber of professionals billing fewer than 15 hours 10 the caseduring thisFeePeriod: re any rates higher than those approved or disclosed at All rates set forth set forth in this Interim Fee tention? If yes, calculate and disclose the total compensation Application were disclosed in Applicant’s Notice of ught in this Interim Fee Application using the rates originally Increase of the Hourly Rates of Professionals, filed isclosed in the retention application: January 15, 2021 [Docket No. 653]. Although Cole Schotz subsequently filed an additional Notice of Increase of the Hourly Rates of Professionals, which was filed August 25, 2021 [Docket No. 912], the rates disclosed therein did not take effect until after the conclusion of this Fee Period.

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