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Full title: Monthly Fee Statement / Seventh Fee Statement of Rothschild & Co US Inc. and Rothschild & Co Mexico S.A. De C.V. for Compensation for Services and Reimbursement of Expenses as Investment Bankers for the Debtors and Debtors In Possession for the Period from May 1, 2021 Through May 31, 2021. Filed by Joseph Charles Barsalona II on behalf of Grupo Aeromexico, S.A.B. de C.V.. (Attachments: # (1) Exhibit A)(Barsalona, Joseph)

Document posted on Aug 1, 2021 in the bankruptcy, 6 pages and 0 tables.

Bankrupt11 Summary (Automatically Generated)

This statement (the “Fee Statement”) is the seventh statement of Rothschild & Co US Inc. and Rothschild & Co Mexico S.A. de C.V. (collectively, “Rothschild & Co”), investment banker to the above-captioned debtors and debtors in possession (collectively, the “Debtors”), filed pursuant to sections 327, 328, 330 and 331 of title 11 of the United States Code (the “Bankruptcy Code”), Rule 2016 of the Federal Rules of Bankruptcy Procedure (the “Bankruptcy Rules”), Rule 2016-1 of the Bankruptcy Local Rules for the Southern District of New York (the “Local Rules”), the Order Approving Debtors’ Application to Employ and Retain Rothschild & Co. US Inc. and Rothschild & Co Mexico S.A. De C.V. as Investment Bankers to the Debtors Effective Nunc Pro Tunc to the Petition DateRothschild & Co requests: (a) payment of compensation in the amount of $200,000.00 (80% of $250,000.00 of fees on account of reasonable and necessary professional services rendered to the Debtors by Rothschild & Co for May 2021); and (b) reimbursement of actual and necessary costs and expenses in the amount of $397.00 incurred by Rothschild & Co during the period May 1, 2021 through and including May 31, 2021 (the “Fee Period”).2. Further, Exhibit A: (a) identifies the individuals that rendered services in each subject matter; (b) describes each activity or service that each individual performed; (c) states the number of hours (in increments of one-half of an hour) spent by each individual providing the services; and (d) provides a summary of expenses by type, as well as a detailed itemization and description of actual and necessary costs and expenses incurred by Rothschild & Co during the Fee Period.WHEREFORE, pursuant to the Interim Compensation Order, Rothschild & Co requests: (a) payment of compensation in the amount of $200,000 (80% of $250,000 of fees on account of reasonable and necessary professional services rendered to the Debtors by Rothschild & Co for May); and (b) reimbursement of actual and necessary costs and expenses in the amount of $397.00.Homer Parkhill Homer Parkhill Rothschild & Co US Inc. 1251 Avenue of the Americas New York, NY 10020

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Objection Deadline: August 17, 2021 UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK ) In re: ) Chapter 11 ) GRUPO AEROMÉXICO, S.A.B. de C.V., et al. ) Case No. 20-11563 (SCC) ) Debtors. 1 ) (Jointly Administered) ) SEVENTH FEE STATEMENT OF ROTHSCHILD & CO US INC. AND ROTHSCHILD & CO MEXICO S.A. DE C.V. FOR COMPENSATION FOR SERVICES AND REIMBURSEMENT OF EXPENSES AS INVESTMENT BANKERS FOR THE DEBTORS AND DEBTORS IN POSSESSION FOR THE PERIOD FROM MAY 1, 2021 THROUGH MAY 31, 2021 Rothschild & Co US Inc. and Rothschild & Co Mexico Name of Applicant: S.A. de C.V. (collectively, “Rothschild & Co”) Investment bankers for the debtors and debtors in Applicant’s Role in Case: possession Order entered on January 21, 2021 retaining Rothschild Date Order of Employment Signed: & Co, nunc pro tunc to June 30, 2020 Beginning of Period End of Period Time period covered by this statement: May 1, 2021 May 31, 2021
Table 1 on page 1. Back to List of Tables
Summary of Total Fees and Expenses Requested: None
Total fees requested in this statement: 200,000.00
(80% of $250,000.00)
Total expenses requested in this statement: $397.00
Total fees and expenses requested in this
statement:
$200,397.00
This is a(n): X Monthly Application ___ Interim Application ___ Final Application None
1 The Debtors in these cases, along with the last four digits of each Debtor’s registration number in the applicable jurisdiction, are as follows: Grupo Aeroméxico, S.A.B. de C.V. 286676; Aerovías de Mexico, S.A. de C.V 108984; Aerolitoral, S.A. de C.V. 217315; Aerovías Empresa de Cargo, S.A. de C.V. 437094-1. The Debtors’ corporate headquarters is located at Paseo de la Reforma No. 243, piso 25 Colonia Cuauhtémoc, Mexico City, C.P. 06500.

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1. This statement (the “Fee Statement”) is the seventh statement of Rothschild & Co US Inc. and Rothschild & Co Mexico S.A. de C.V. (collectively, “Rothschild & Co”), investment banker to the above-captioned debtors and debtors in possession (collectively, the “Debtors”), filed pursuant to sections 327, 328, 330 and 331 of title 11 of the United States Code (the “Bankruptcy Code”), Rule 2016 of the Federal Rules of Bankruptcy Procedure (the “Bankruptcy Rules”), Rule 2016-1 of the Bankruptcy Local Rules for the Southern District of New York (the “Local Rules”), the Order Approving Debtors’ Application to Employ and Retain Rothschild & Co. US Inc. and Rothschild & Co Mexico S.A. De C.V. as Investment Bankers to the Debtors Effective Nunc Pro Tunc to the Petition Date [Docket No. 828], and the Order Pursuant To 11 U.S.C. §§ 105(A) And 331 Establishing Procedures For Monthly And Interim Compensation And Reimbursement Of Expenses For Retained Professionals [Docket No. 360] (the “Interim Compensation Order”). Rothschild & Co requests: (a) payment of compensation in the amount of $200,000.00 (80% of $250,000.00 of fees on account of reasonable and necessary professional services rendered to the Debtors by Rothschild & Co for May 2021); and (b) reimbursement of actual and necessary costs and expenses in the amount of $397.00 incurred by Rothschild & Co during the period May 1, 2021 through and including May 31, 2021 (the “Fee Period”). 2. Further, Exhibit A: (a) identifies the individuals that rendered services in each subject matter; (b) describes each activity or service that each individual performed; (c) states the number of hours (in increments of one-half of an hour) spent by each individual providing the services; and (d) provides a summary of expenses by type, as well as a detailed itemization and description of actual and necessary costs and expenses incurred by Rothschild & Co during the Fee Period.

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3. Further, the tables below display a summary of hours spent by each professional and expenses incurred on each project matter during the Fee Period. Summary of Hours of Service by Rothschild & Co During the Fee Period
Table 1 on page 3. Back to List of Tables
Professional Position Total hours
Homer Parkhill Co-Head of Restructuring, North America 66.5
Daniel Nicolaievsky Co-Head of Mexico 16.5
Victor Leclercq Co-Head of Mexico 10.0
Marcelo Messer Managing Director 14.0
Rolf Arnold Director 133.0
Michael Sutter Vice President 87.0
Andres Marquez Vice President 35.5
Rogelio Canales Vice President 17.5
Syed Haq Associate 74.5
James Lazar Associate 10.0
Pratyush Hiremath Associate 59.5
Laura Preciado Analyst 36.0
Nived Gopakumar Analyst 142.5
Total 702.0

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Summary of Expenses for the Fee Period
Table 1 on page 4. Back to List of Tables
Expense Category Amount
Travel -
Taxis/Tolls/Parking -
Hotel -
Legal Fees 387.00
Miscellaneous -
Meals -
Presentation -
Copies -
Research/Database -
Telephone/Communications 10.00
Courier Services -
Total $397.00
4. Although every effort has been made to include all fees and expenses incurred during the Fee Period, some fees and expenses might not be included in this Fee Statement due to delays caused by accounting and processing. Rothschild & Co reserves the right to seek allowance of such fees and expenses not included herein. Notice and Objection Procedures 5. Rothschild & Co has provided notice of this Fee Statement to: (i) Grupo Aeroméxico, S.A.B. de C.V., Paseo de la Reforma No. 243, piso 25 Colonia Cuauhtémoc, Mexico City, C.P. 06500, Attn.: Daniel Martinez Martinez and Patricia Bobadilla, Email: dmartinezm@aeromexico.com, mbobadilla@aeromexico.com; (ii) counsel to the Debtors, Davis Polk & Wardwell LLP, 450 Lexington Avenue, New York, New York 10017, Attn.: Timothy Graulich and Stephen Piraino, Email: timothy.graulich@davispolk.com, stephen.piraino@davispolk.com; (iii) counsel to the Committee, Willkie Farr & Gallagher LLP, 787 Seventh Avenue, New York, NY 10019, Attn.: Brett Miller and Todd Goren, Email: bmiller@willkie.com, tgoren@willkie.com; and (iv) the Office of the United States Trustee, U.S. Federal Office Building, 201 Varick Street, Suite 1006, New York, New York 10014, Attn.:

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Andrea Beth Schwartz, Email: andrea.b.schwartz@usdoj.gov; and (v) Counsel to the DIP Lender, Cleary Gottlieb Steen & Hamilton LLP, One Liberty Plaza, New York, NY 10006, Attn.: Richard J. Cooper, Luke A. Barefoot, Thomas S. Kessler, Email: rcooper@cgsh.com, lbarefoot@cgsh.com, tkessler@cgsh.com. 6. Objections to the Fee Statement, if any, must be served upon the Notice Parties no later than August 17, 2021 (the “Objection Deadline”), setting forth the nature of the objection and specific amount of fees and expenses at issue. [Remainder of page intentionally left blank]

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7. WHEREFORE, pursuant to the Interim Compensation Order, Rothschild & Co requests: (a) payment of compensation in the amount of $200,000 (80% of $250,000 of fees on account of reasonable and necessary professional services rendered to the Debtors by Rothschild & Co for May); and (b) reimbursement of actual and necessary costs and expenses in the amount of $397.00. Dated: August 2, 2021 /s/ Homer Parkhill Homer Parkhill Rothschild & Co US Inc. 1251 Avenue of the Americas New York, NY 10020 Telephone: +1 (212) 403 3677 Investment Banker to the Debtors and Debtors in Possession

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