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Full title: Interim Application for Compensation to:Robinson, Bradshaw & Hinson, P.A., Fee:$276,332.50, Expenses:$1,462.41. filed by Garland S. Cassada on behalf of DBMP LLC. (Cassada, Garland)

Document posted on Oct 26, 2021 in the bankruptcy, 61 pages and 0 tables.

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0.10 53.0005/25/21 KRC 8 Work on tasks related to Trust discovery motion 0.20 66.0005/26/21 KRC 8 Work on tasks related to Trust discovery motion 0.30 99.0005/26/21 KRC 8 Confer with SL Riggins re discovery tasks 0.10 33.0005/26/21 GSC 8 Analysis of services issues for discovery motion 0.50 330.00hearing 05/26/21GSC 8 Work on reply to objections to trust discovery 2.10 1,386.00motion 06/30/21 DLB 8 Work on PIQ hearing slide deck 0.60 198.00 06/30/21 KRC 8 Work on tasks related to Trust discovery motion 4.20 1,386.0006/30/21 KRC 8 Confer with GS Cassada re tasks related to Trust 0.30 99.00discovery motion 06/30/21 GSC 8 Confer with client, co-counsel, GS Cassada and 1.10 726.00KR Crandall re case tasks 06/30/21 RCW 8 Confer with client, co-counsel, GS Cassada and 1.10 539.00KR Crandall re case tasks 06/30/21 GSC 8 Teleconference with K Crandall re preparation of 0.30 198.00trust discovery reply 8 Total: 76,066.00 RCW 8 Confer with claims agent re case tasks 0.50 245.0007/01/21 KRC 8 Work on tasks related to Trust discovery motion 2.30 759.0007/02/21 KRC 8 Work on Trust discovery reply brief 3.90 1,287.0007/02/21 DMS 8 Review, revise, communicate with co-counsel and 1.20 690.00coordinate filing re motion to continue hearing on ACC's Rule 2004 discovery motion and related motion to shorten notice 07/05/21 KRC 8 Work on tasks related to Trust reply briief 1.60 528.0007/05/21 KRC 8 Confer with RBH team re case tasks 0.20 66.0007/05/21DMS 8 Review and analyze email correspondence from 0.40 230.00Bankruptcy Court and various parties re August omnibus hearing motions 08/02/21 KRC 8 Confer with RBH team re case tasks 0.10 33.0008/02/21 RCW 8 Confer with RBH team re case tasks 0.10 49.0008/02/21 DLB 8 Confer with RBH team re matter development 0.10 33.0008/02/21 KRC 8 Work on tasks related to Trust discovery 0.40 132.0008/02/21 SLR 8 Work on logistics for 8/9 depositions 0.50 130.0008/02/21 SLR 8 Participate in RBH team meeting re case status 0.10 26.00 08/03/21 KRC 8 Work on tasks related to Trust discovery motion 0.80 264.0008/03/21 KRC 8 Confer with client, co-counsel, GS Cassada, and 0.80 264.00RC Worf re case tasks 08/03/21 KRC 8 Confer with GS Cassada re tasks related to Trust 0.30 99.00discovery motion and other case tasks 08/03/21 KRC 8 Confer with expert, co-counsel, GS Cassada and 1.00 330.00RC Worf re case tasks

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UNITED STATES BANKRUPTCY COURT WESTERN DISTRICT OF NORTH CAROLINA CHARLOTTE DIVISION In re Chapter 11 DBMP LLC,1 Case No. 20-30080 (JCW) Debtor. FIFTH INTERIM APPLICATION OF ROBINSON, BRADSHAW & HINSON, P.A. FOR ALLOWANCE OF COMPENSATION AND REIMBURSEMENT OF EXPENSES FOR PROFESSIONAL SERVICES RENDERED AS SPECIAL COUNSEL FOR ASBESTOS CLAIMS ESTIMATION MATTERS AND LOCAL BANKRUPTCY COUNSEL FOR THE DEBTOR FOR THE PERIOD FROM MAY 1, 2021 THROUGH AUGUST 31, 2021 Name of Applicant: Robinson, Bradshaw & Hinson, P.A. Authorized to Provide Professional Debtor Services to: Date of Retention: Order entered on March 17, 2020 Period for which compensation May 1, 2021 through August 31, 2021 and reimbursement is sought: Amount of Compensation sought $276,232.50 as actual, reasonable and necessary: Amount of Expense Reimbursement $1,462.41 sought as actual, reasonable and necessary: Total amount of compensation and $277,694.91 expense reimbursement sought as actual, reasonable and necessary This is a monthly X interim final application. This is the fifth interim fee application filed by Robinson, Bradshaw & Hinson, P.A. 1 The last four digits of the Debtor’s taxpayer identification number are 8817. The Debtor’s address is 20 Moores Road, Malvern, Pennsylvania 19355.

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UNITED STATES BANKRUPTCY COURT WESTERN DISTRICT OF NORTH CAROLINA CHARLOTTE DIVISION In re Chapter 11 DBMP LLC,2 Case No. 20-30080 (JCW) Debtor. FIFTH INTERIM APPLICATION OF ROBINSON, BRADSHAW & HINSON, P.A. FOR ALLOWANCE OF COMPENSATION AND REIMBURSEMENT OF EXPENSES FOR PROFESSIONAL SERVICES RENDERED AS SPECIAL COUNSEL FOR ASBESTOS CLAIMS ESTIMATION MATTERS AND LOCAL BANKRUPTCY COUNSEL FOR THE DEBTOR FOR THE PERIOD FROM MAY 1, 2021 THROUGH AUGUST 31, 2021 Robinson, Bradshaw & Hinson, P.A. (“RBH”) submits this Fifth Interim Application (the “Application”) for Allowance of Compensation and Reimbursement of Expenses for Professional Services Rendered as Special Counsel for Asbestos Claims Estimation Matters and Local Bankruptcy Counsel for DBMP LLC (the “Debtor”) for the period from May 1, 2021 through August 31, 2021 (the “Interim Period”) 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, and this Court’s Order Establishing Procedures for Interim Compensation and Reimbursement of Expenses of Retained Professionals (the “Compensation Order”) entered February 13, 2020 (Docket No. 150). By this Application, RBH hereby moves this Court for an order awarding it reasonable compensation for the Interim Period for professional legal services rendered to the Debtor in the amount of $276,232.50 and reimbursement for actual and necessary expenses incurred in the 2 The last four digits of the Debtor’s taxpayer identification number are 8817. The Debtor’s address is 20 Moores Road, Malvern, Pennsylvania 19355.

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amount of $1,462.41 for a total of $277,694.91. In support of this Application, RBH states as follows: I. BACKGROUND 1. On January 23, 2020, the Debtor filed a voluntary petition for relief under chapter 11 of the Bankruptcy Code. 2. The Court has jurisdiction over this Application pursuant to 28 U.S.C. §§ 157 and 1334. This is a core proceeding within the meaning of 28 U.S.C. § 157(b)(2). 3. The Debtor is operating its business and managing its affairs as a debtor-in-possession pursuant to Sections 1107 and 1108 of the Bankruptcy Code. No trustee has been appointed in the Debtor’s case. 4. On January 23, 2020, the Debtor filed its Ex Parte Application for Entry of an Order Authorizing the Employment of Robinson, Bradshaw & Hinson, P.A. as Special Counsel for Asbestos Claims Estimation Matters and Local Bankruptcy Counsel for the Debtor as of the Petition Date (Docket No. 18.). 5. On January 24, 2020, the Court entered an Order Approving Employment of Robinson, Bradshaw & Hinson, P.A. as Special Counsel for Asbestos Claims Estimation Matters and Local Bankruptcy Counsel for the Debtor as of the Petition Date (Docket No. 36) in this Chapter 11 case. On March 17, 2020, the Court entered an Amended Order Approving Employment of Robinson, Bradshaw & Hinson, P.A. as Special Counsel for Asbestos Claims Estimation Matters and Local Bankruptcy Counsel for the Debtor as of the Petition Date (Docket No. 203) in this Chapter 11 case. 6. On February 14, 2020, the Court entered an order appointing an Official Committee of Asbestos Claimants (the “Committee”) (Docket No. 155). On June 1, 2020, the

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Court entered an order appointing Sander L. Esserman as Legal Representative for Future Asbestos Claimants (the “FCR”) (Docket No. 310). 7. On June 26, 2020, RBH filed its First Interim Fee Application (Docket No. 355) covering the time period from January 23, 2020 through April 30, 2020. 8. On October 16, 2020, RBH filed its Second Interim Fee Application (Docket No. 531) covering the time period from May 1, 2020 through August 31, 2020. 9. On February 18, 2021, RBH filed its Third Interim Fee Application (Docket No. 681) covering the time period from September 1, 2020 through December 31, 2020. 10. On June 24, 2021, RBH filed its Fourth Interim Fee Application (Docket No. 898) covering the time period from January 1, 2021 through April 30, 2021. 11. After April 30, 2021, RBH has rendered services and incurred reasonable expenses on behalf of the Debtor. 12. The period for which fees and expenses are sought in this Application commences May 1, 2021 through August 31, 2021. Since May 1, 2021, RBH has rendered services and incurred reasonable expenses on behalf of the Debtor. 13. Pursuant to the Compensation Order, professionals may request monthly compensation and reimbursement. Such requests are to be served on certain identified interested parties for review. If no objection to a professional’s request is received within fourteen (14) days of such request, the Debtor is authorized to pay 90% of the fees and 100% of the expenses requested. The Compensation Order also requires each retained professional to file, approximately every four months, an application for interim Court approval and allowance pursuant to section 331 of the Bankruptcy Code of 100% of the compensation and reimbursement expenses for the prior months.

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II. COMPENSATION RECEIVED DURING INTERIM PERIOD 14. All services for which RBH seeks compensation were performed for or on behalf of the Debtor. During the Interim Period, RBH received partial monthly payments pursuant to the Compensation Order as follows: Date of Time Period Covered Requested Requested Payment* Request by Request Fees Expenses Received 7/28 /21 May 1, 2021 through May 31, 2021 $38 ,762.50 $329 .80 $35,2 16.05 8/11/21 June 1, 2021 through June 30, 2021 $90,944.00 $377.85 $82,227.45 9/15/21 July 1, 2021 through July 31, 2021 $73,284.50 -0- $65,956.05 10/5/21 August 1, 2021 through August 31, 2021 $73,241.50 $754.76 -0- TOTAL May 1, 2021 through August 31, 2021 $276,232.50 $1,462.41 $183,399.55 *Fees paid at 90% and Expenses at 100% pursuant to Compensation Order 15. RBH’s monthly fee requests were served upon certain interested parties for review as directed by the Compensation Order. As of the date of this Application, no interested party has objected to any of RBH’s monthly fee requests. 16. There is no agreement or understanding between RBH and any other person, other than the members and associates of RBH, for the sharing of compensation to be received for services rendered in these cases. III. SUMMARY OF SERVICES RENDERED BY RBH 17. Attached hereto as Exhibits A-1 through A-4 are detailed descriptions of the services performed and expenses incurred by RBH from May 1, 2021 through August 31, 2021. In summary, RBH expended 599.8 hours in rendering necessary legal services involving the Debtor’s chapter 11 proceeding for the Interim Period. The fees total $276,232.50 for the Interim Period (consisting of $38,762.50 for month of May, 2021; $90,944.00 for the month of June,

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2021; $73,284.50 for the month of July, 2021; and $73,241.50 for month of August, 2021). RBH further incurred costs in regard to these proceedings in the amount of $1,462.41 for the Interim Period (consisting of $329.90 for month of May, 2021; $377.85 for month of June, 2021; $0 for month of July, 2021; and $754.76 for month of August, 2021). On Exhibit B, RBH has categorized its time by the project categories (the “Project Categories”) consistent with but more detailed than the categories recommended by the Guidelines for Compensation and Expense Reimbursement of Professionals (the “Compensation Guidelines”) as set forth in Appendix A to the Local Rules of the United States Bankruptcy Court for the Western District of North Carolina. On Exhibit C, RBH has itemized the cost and expenses incurred on behalf of the Debtor that were billed during the Interim Period. 18. RBH believes that its billing rates for the Interim Period should be deemed “reasonable billing rates” for purposes of this Court’s determination of the “reasonableness” of the fees for services rendered. 19. Summaries of the professionals/paraprofessionals that have rendered services to the Debtor, which include each professional’s or paraprofessional’s title, hourly rate, total number of hours billed and the fees billed, are attached hereto as Exhibit D. 20. RBH’s detailed invoices attached hereto as Exhibits A-1 through A-4 show, on a daily basis, the professionals recording time for these cases, how much time was charged for each professional and a description of the services rendered. Whenever more than one RBH professional is involved or the RBH professionals show interaction with other professionals for the Debtor, each of the RBH professionals are performing distinct tasks for the Debtor and/or

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work to effectively and efficiently represent the Debtor.3 Services are provided for each month of the Interim Period and are divided by category of the task performed. To the extent that charges for services rendered or expenses incurred relate to the Interim Period but were not processed before the preparation of, or otherwise included in, this Application, RBH reserves the right to request additional compensation for such services and reimbursement of such expenses in future applications. 21. RBH believes that the services it provided to the Debtor during this Interim Period were necessary to the administration of and beneficial to the Debtor’s estate. Further, RBH believes that the services were performed within a reasonable amount of time commensurate with the complexity, importance, and nature of the tasks addressed. 22. RBH has recorded travel time of its attorneys, when such attorneys have not been actively engaged in work on this matter, at 50% of actual time. IV. DESCRIPTION OF SERVICES RENDERED DURING THE INTERIM PERIOD 23. As counsel to the Debtor, RBH has assisted the Debtor with a variety of matters in this bankruptcy case, as set forth in the summary description below and in greater detail on Exhibits A-1 through A-4. 24. In documenting the services provided, RBH grouped its services using the eighteen Project Categories. RBH attempted to place the services provided in the category that best related to such services. The following narrative supplements the descriptions in Exhibits A-1 through A-4, and is provided to give the Court a better understanding of services provided by RBH. 3 In some cases, where a RBH professional contacted another RBH professional with a brief question or update, the time may have been recorded by one of the professionals, but not the other.

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A. Case Administration and Business Operations 25. During the Interim Period, RBH provided legal services related to case administration and business operation issues affecting the Debtor. Among other things, RBH assisted the Debtor and Jones Day with preparing and filing pleadings, motions, orders, and reports to aid in the Chapter 11 process for the Debtor, including, without limitation, preparing, analyzing, reviewing, serving, and filing monthly and quarterly reports, responses and relies relating to discovery motions under Rule 2004, a motion to estimate the Debtor’s aggregate liability for mesothelioma claims, hearing notices and agendas, and other motions and papers. RBH also participated in regular work-in-process and planning conferences B. Plan of Reorganization/Disclosure Statement 26. During the Interim Period, RBH provided legal services related to the formulation of a plan of reorganization for the Debtor and drafting and filing the Plan of Reorganization of DBMP LLC with related Plan Documents (Dkt 944). C. Court Hearings 27. During the Interim Period, RBH provided legal services related to court hearings regarding issues affecting the Debtor, including, without limitation preparing for and representing the Debtor at all scheduled hearings before the Bankruptcy Court. D. Asbestos Matters 28. During the Interim Period, RBH provided legal services in connection with issues related to asbestos claims, including preparation and filing of the Motion of the Debtor for Estimation of Current and Future Mesothelioma Claims (Dkt 949) (the “Estimation Motion”), briefs relating thereto, review and analysis of, and preparation of replies to, the Committee’s and FCR’s objections to Debtor's Motions for (1) Bankruptcy Rule 2004 Examination of Asbestos

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Trusts (Dkt 416) (the “Trust Discovery Motion”) and (2) Order Pursuant to Bankruptcy Rule 2004 Directing Submission of Personal Injury Questionnaires by Pending Mesothelioma Claimants (Dkt 417) (the “PIQ Motion”), review and analysis of, and preparation of replies to, estimation discovery motions filed by the Committee and FCR, depositions related to discovery motions and the Estimation Motion and other papers, analyses, case planning and strategy, claims’ valuation, negotiations, communications, and meetings related to asbestos claims with the Debtor, RBH’s co-counsel and the Debtor’s asbestos claims experts. E. Reporting 29. During the Interim Period, RBH provided some legal services related to reporting matters affecting the Debtor, including without limitation preparation of operating reports and other reports required by the Bankruptcy Administrator, the Bankruptcy Court, the Bankruptcy Code, the Bankruptcy Rules, or the Local Bankruptcy Rules. F. Litigation and Adversary Proceedings 30. During the Interim Period, RBH provided legal services related to litigation, including, without limitation assisting in review and analysis of the adversary proceeding complaint filed by the Committee, Official Committee of Asbestos Personal Injury Claimants et al. v. DBMP LLC et al., Adv. Pro. 20-03023, which seeks entry of an order substantively consolidating the bankruptcy estate of DBMP with CertainTeed LLC. G. Fee Application Preparation 31. During the Interim Period, RBH provided legal services in connection with fee application preparation included the preparation of monthly fee statements for RBH and providing assistance to the Debtor and other professionals relating to other professional’s monthly fee statements.

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V. RETAINER SUMMARY 32. The retainer balance at the beginning of this Interim Period was $0. The retainer balance is currently $0. VI. DESCRIPTION OF DISBURSEMENTS AND EXPENSES INCURRED DURING THE INTERIM PERIOD 33. It is RBH’s policy to charge its clients for expenses incurred in connection with each client’s case. The customary expenses charged to clients include, among other things, filing and court fees, telephone and telecopier charges, regular and express mail charges, special or hand delivery charges, photocopying charges, travel expenses, expenses for “working meals,” computerized research charges, and transcription costs. RBH has not requested reimbursement for computerized research charges. 34. RBH requests reimbursement for its actual and necessary expenses incurred during the Interim Period in the amount of $1,462.41. A detailed breakdown of such expenses is provided in RBH’s invoices attached hereto as Exhibits A-1 through A-4. The expenses RBH incurred in rendering professional services were necessary and reasonable under the circumstances to serve the needs of the Debtor. VII. LEGAL STANDARD 35. This Application is submitted under the standards set forth in a number of decisions of the United States Supreme Court and the U.S. Court of Appeals for the Fourth Circuit: Hensley v. Eckerhart, 461 U.S. 424 (1983); Blum v. Stenson, 465 U.S. 886 (1984); Pennsylvania v. Del. Valley Citizens’ Council for Clean Air, 483 U.S. 711 (1987); Lilly v. Harris-Teeter Supermarket, 842 F.2d 1496 (4th Cir. 1988); Daly v. Hill, 790 F.2d 1071 (4th Cir. 1986); and Barber v. Kimbrell’s, Inc., 577 F.2d 216, 226 n. 28 (4th Cir. 1978), cert. denied, 439 U.S. 934 (1979) which adopted the standards of Johnson v. Ga. Highway Express, Inc., 488 F.2d

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714, 717-19 (5th Cir. 1974). Under the rule of Barber, these standards include the time and labor expended; the novelty and difficulty of the questions raised; the skill required to perform properly the legal services rendered; the attorney’s opportunity costs in handling the case; the customary fee for like work; the attorney’s expectations at the outset of the case; the time limitations imposed by the client or circumstances; the amount in controversy and the results obtained; the experience, reputation and ability of the attorney; the undesirability of the case within the legal community in which the case arose; the nature and length of the professional relationship between attorney and client; and attorneys’ fees in similar cases. Under these standards, the compensation and rates requested herein are reasonable for services rendered by RBH in this case. VIII. NOTICE 36. RBH represents to the Court that it has served a copy of this Application with the attached exhibits and Notice of Opportunity for Hearing on the Debtor, the Debtor’s Counsel, the Bankruptcy Administrator, counsel to CertainTeed LLC (the Debtor’s non-debtor affiliate), counsel to the Committee, and counsel to the FCR, and on such other parties that the Court may designate. IX. CONCLUSION 37. Based on the foregoing, RBH makes this Application for an allowance of interim compensation for professional services rendered and reimbursement for actual costs and expenses incurred in the performance of legal services as Special Counsel for Asbestos Claims Estimation Matters and Local Bankruptcy Counsel to the Debtor in connection with this chapter 11 proceeding.

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WHEREFORE, Robinson, Bradshaw & Hinson, P.A., respectfully requests (a) that RBH be allowed (i) interim compensation of $276,232.50 as reasonable, actual and necessary professional services rendered by it on behalf of the Debtor during the Interim Period and (ii) interim reimbursement of expenses of $1,462.41 as reasonable, actual and necessary; (b) that the Debtor be authorized and directed to pay to RBH the amount of $277,694.91, which is equal to the sum of 100% of RBH’s allowed interim compensation and 100% of RBH’s allowed expense reimbursement for the Interim Period, less all previous payments received from the Debtor pursuant to the Compensation Order; and (c) such other relief as is just and proper. This 27th day of October, 2021. Respectfully submitted, /s/ Garland S. Cassada Garland S. Cassada (NC Bar No. 12352) David M. Schilli (NC Bar No. 17989) Andrew W.J. Tarr (NC Bar No. 31827) ROBINSON BRADSHAW & HINSON, P.A. 101 North Tryon Street, Suite 1900 Charlotte, North Carolina 28246 Telephone: (704) 377-2536 Facsimile: (704) 378-4000 Email: gcassada@robinsonbradshaw.com dschilli@robinsonbradshaw.com atarr@robinsonbradshaw.com Special Counsel for Asbestos Claims Estimation Matters and Local Bankruptcy Counsel for Debtor DBMP LLC

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EXHIBIT A-1

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Robinson Bradshaw 101 North Tryon Street, Suite 1900 Charlotte, NC 28246 t: 704.377.2536 robinsonbradshaw.com Fed. Tax ID 56-0944079 Leslie Dallas DBMP LLC Invoice Date June 30, 2021 Law Department Invoice No. 667309 20 Moores Road Malvern, PA 19355 RE: Chapter 11 Case Client ID: 26969 Matter ID: 00011 Claim Number: SG-008044 Invoice Summary Total Professional Services This Invoice $ 38,762.50 Total Disbursements This Invoice $ 329.80 Total Due This Invoice $ 39,092.30 Outstanding Balance $ 71,908.35 Outstanding Balance on Amounts Previously Billed Invoice Date Invoice Number Invoice Amount Payments/Credits Balance Due03/26/21 663555 $91,581.60 $-82,482.90 $9,098.70 03/30/21 661749 $16,982.73 $-15,326.63 $1,656.10 04/30/21 664882 $75,409.80 $-68,111.05 $7,298.75 05/31/21 666107 $53,854.80 $0.00 $53,854.80 Total Now Due $ 111,000.65 Payment Options Check Wire/ACH Make check payable to: Bank Name: Bank of America Robinson Bradshaw Bank Address: 100 N. Tryon Street, Charlotte, NC 28255101 N. Tryon Street, Suite 1900 Account Name: Robinson, Bradshaw & Hinson, PACharlotte, NC 28246 ABA No (Wire): 026009593 ABA No (ACH): 053000196 Account No. 237023224173 Charges due upon receipt of invoice Please reference invoice or client number on remittance

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Robinson Bradshaw 101 North Tryon Street, Suite 1900 Charlotte, NC 28246 t: 704.377.2536 robinsonbradshaw.com Fed. Tax ID 56-0944079 Leslie Dallas DBMP LLC Invoice Date June 30, 2021 Law Department Invoice No. 667309 20 Moores Road Malvern, PA 19355 RE: Chapter 11 Case Client ID: 26969 Matter ID: 00011 Claim Number: SG-008044 or Professional Services Rendered Through May 31, 2021 Date Professional Task Narrative Hours Amount 05/03/21 AWT 1 Communicate with Jones Day re opposition to Rule 0.30 159.002004 request re Amiel Gross OSHA complaint 05/03/21 SLR 1 Finalize and e-file opposition to motion for 0.30 78.00depositions and document requests 05/03/21 RCW 1 Confer with experts, co-counsel, and GS Cassada 0.40 196.00re case tasks 05/04/21 GSC 1 Participation in weekly work-in-process conference 0.40 264.0005/05/21 TCR 1 Review, analyze and distribute court filings 1.40 364.0005/07/21 SLR 1 Review, analyze, and distribute 4/22 hearing 0.20 52.00transcript 05/07/21 TCR 1 Review, analyze and distribute court filings 0.10 26.0005/10/21 SLR 1 Finalize and e-file OCP quarterly report 0.20 52.0005/11/21 AWT 1 Communicate with Jones Day re hearing agenda 0.10 53.0005/11/21 SLR 1 Finalize and e-fie agenda for 5/13 hearing 0.20 52.0005/11/21 GSC 1 Participation in weekly work-in-process conference 1.30 858.0005/12/21 AWT 1 Review proposed order granting exclusivity motion 0.10 53.00and communicate with Jones Day re same 05/12/21 AWT 1 Review notice of cancellation of omnibus hearing 0.10 53.00and communicate with Jones Day re same 05/12/21 SLR 1 Upload order re exclusivity period 0.20 52.0005/13/21 TCR 1 Review, analyze and distribute court filings 0.20 52.0005/14/21 TCR 1 Review, analyze and distribute court filings 0.30 78.0005/14/21 AWT 1 Review notice and communicate with Jones Day re 0.20 106.00same

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Date Professional Task Narrative Hours Amount 05/14/21 SLR 1 Finalize and e0file notice of a change of address 0.20 52.00for Jones Day Atlanta 05/18/21 GSC 1 Participation in weekly work-in-process conference 0.50 330.00with DBMP and co-counsel 05/20/21 AWT 1 Communicate with Jones Day re order on ACC 0.10 53.00Rule 2004 motion 05/20/21 TCR 1 Review, analyze and distribute court filings 0.10 26.0005/21/21 SLR 1 Finalize and upload 2004 order 0.20 52.00 05/21/21 AWT 1 Review and coordinate submission of Bates White 0.20 106.00second supplemental declaration 05/24/21 SLR 1 Finalize and e-file supplemental declaration on 0.20 52.00application to employ Bates White 05/28/21 AWT 1 Communicate with Jones Day re notice of hearing 0.30 159.00matters for debtor's discovery motions 05/28/21 TCR 1 Review, analyze and distribute court filings 0.30 78.0005/28/21 SLR 1 Finalize and e-file notice of hearing re discovery 0.40 104.00motions and monthly status report 1 Total: 3,560.00 05/10/21 AWT 11 Review, and communicate with Jones Day re, OCP 0.20 106.00quarterly report 05/28/21 AWT 11 Review draft monthly report and communicate with 0.60 318.00Jones Day re same 05/28/21 DMS 11 Review, analyze, communicate with co-counsel 0.20 115.00and coordinate filing re April monthly status report 11 Total: 539.00 05/03/21 GSC 12 Review of debtor's objection to ACC's motion for 1.30 858.00Rule 2004 examination 05/04/21 SLR 12 Coordinate processing and errata deadlines for 0.20 52.00deposition 05/04/21 DMS 12 Review and analyze ACC Rule 2004 motion and 0.40 230.00debtor's objection in preparation for hearing 05/10/21 GSC 12 Review materials to respond to question from case 0.60 396.00constituent 05/10/21 DMS 12 Review and analyze May 4 hearing transcript re 0.50 287.50Rule 2004 motion filed by ACC 05/12/21 GSC 12 Review and comment on draft Rule 2004 order 0.30 198.0012 Total: 2,021.50 05/18/21 DMS 15 Review, analyze and communicate with GS 0.40 230.00Cassada re potential supplemental disclosure in support of retention 05/18/21 DMS 15 Prepare first amendment to Cassada declaration in 0.60 345.00support of retention 05/19/21 DMS 15 Review and revise first amendment to GS Cassada 0.90 517.50

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Date Professional Task Narrative Hours Amount 05/20/21 DMS 15 Further review and revise first amendment to 0.20 115.00Cassada declaration based on internal comments 05/27/21 DMS 15 Confer with GS Cassada re potential supplemental 0.40 230.00disclosure issues 05/27/21 DMS 15 Review, analyze and summarize disclosures by 0.80 460.00debtors' counsel re retention issues 05/27/21 GSC 15 Confer with DM Schilli re potential supplemental 0.40 264.00disclosure issues 05/28/21 DMS 15 Review, analyze and summarize potential 1.20 690.00supplemental disclosures re retention 15 Total: 2,851.50 05/03/21 SLR 16 Work on March fee statement 0.20 52.00 05/11/21 SLR 16 Finalize monthly fee statement for March 2021 0.40 104.0005/17/21 SLR 16 Work on April monthly fee statement 0.40 104.0005/24/21 SLR 16 Confer re timing for upcoming fee application filing 0.20 52.0005/25/21 SLR 16 Finalize and distribute Bates White compensation 0.20 52.00request 05/26/21 SLR 16 Begin drafting interim fee application and the 1.50 390.00supporting exhibits 05/27/21 SLR 16 Continue work on interim fee application 0.40 104.0005/28/21 GSC 16 Work on April 2020 invoice 0.50 330.00 16 Total: 1,188.00 05/04/21 GSC 7 Appearance for DBMP at hearing on ACC's motion 1.50 990.00for 2004 examination re deposition of alleged whistleblower 05/11/21 DMS 7 Review, revise, communicate with co-counsel and 0.20 115.00coordinate filing re May 13 omnibus hearing agenda 05/28/21 DMS 7 Review and respond to email correspondence from 0.30 172.50co-counsel re July hearings being in person or virtual and strategy for noticing same 7 Total: 1,277.50 05/03/21 KRC 8 Work on asbestos-related discovery tasks 0.40 132.0005/03/21 GSC 8 Regular update conference with co-counsel and 0.40 264.00claims experts 05/03/21 GSC 8 Work on responses to ACC/FCR's second 1.50 990.00discovery requests related to PIQ and Trust discovery motions 05/03/21 GSC 8 Further work on response to second discovery 0.50 330.00requests related to discovery motions 05/03/21 RCW 8 Review and edit responses to written discovery 0.90 441.00from ACC and FCR 05/04/21 RCW 8 Continue work on written discovery responses 0.10 49.00

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Date Professional Task Narrative Hours Amount discovery responses 05/04/21 KRC 8 Work on tasks related to Trust discovery motion 2.70 891.0005/04/21 JLR 8 Prepare deposition transcripts for attorney review 0.10 21.0005/04/21 GSC 8 Review and analysis of revised draft responses to 0.30 198.00ACC/FCR discovery requests related to DBMP discovery motions 05/04/21 GSC 8 Participation in conference re review of and input 1.00 660.00for discovery responses 05/04/21 GSC 8 Correspondence re obtaining hearing credentials 0.20 132.00for bankruptcy court hearings 05/04/21 SLR 8 Confer with court re hearing credentials 0.20 52.0005/05/21 KRC 8 Review and analyze documents related to 0.70 231.00discovery motions 05/06/21 KRC 8 Work on tasks related to PIQ and Trust discovery 0.50 165.00motions 05/06/21 GSC 8 Correspondence re discovery motion hearing dates 0.20 132.0005/06/21 GSC 8 Correspondence re functions of claims agent 0.20 132.0005/07/21 KRC 8 Work on tasks related to PIQ and Trust discovery 0.90 297.00motions 05/10/21 GSC 8 Regular estimation project planning conference 0.30 198.00with RC Worf, co-counsel, and claims experts 05/10/21 KRC 8 Work on tasks related to Trust discovery motion 0.20 66.0005/10/21 GSC 8 Correspondence with DCPF counsel re planning 0.30 198.00for hearing on trust discovery motion 05/10/21 RCW 8 Confer with experts, co-counsel, and GS Cassada 0.40 196.00re case tasks 05/11/21 RCW 8 Call with client, co-counsel, and GS Cassada re 1.30 637.00case tasks 05/11/21 GSC 8 Work on revisions to form of order granting trust 1.10 726.00data discovery 05/11/21 SLP 8 Work on asbestos trust discovery issues 0.80 336.0005/11/21 KRC 8 Work on tasks related to Trust and PIQ discovery 0.10 33.00motions 05/11/21 SLR 8 Begin drafting errata sheet for Bates deposition 0.50 130.0005/12/21 KRC 8 Work on tasks related to Trust Discovery motion 0.70 231.0005/13/21 RCW 8 Confer with GS Cassada re case tasks 0.20 98.0005/13/21 RCW 8 Confer with co-counsel, client, and GS Cassada re 1.30 637.00case tasks 05/13/21 GSC 8 Conference with DBMP and co-counsel re claims 1.30 858.00analysis for estimation 05/13/21 GSC 8 Conference with claims expert re claims analysis 0.60 396.00for estimation 05/13/21 GSC 8 Confer with RC Worf re case tasks 0.20 132.0005/14/21 DLB 8 Work on portal project 0.10 35.00

18

Date Professional Task Narrative Hours Amount report 05/14/21 GSC 8 Review and analysis of deposition and errata sheet 0.50 330.0005/14/21 KRC 8 Work on tasks related to PIQ and Trust discovery 0.10 33.00motions 05/17/21 KRC 8 Work on asbestos-related discovery tasks 0.10 33.0005/17/21 SLR 8 Prepare for Bates errata distribution and circulate 0.30 78.00finalized errata sheet 05/17/21 GSC 8 Preparation of discovery response re trust 2.60 1,716.00discovery and PIQ motion 05/17/21 DLB 8 Work on portal project 0.10 35.00 05/18/21 GSC 8 Work on revisions to motion for trust data and 2.20 1,452.00proposed for of order 05/19/21 KRC 8 Work on tasks related to Trust discovery motion 0.10 33.0005/19/21 GSC 8 Preparation for trust discovery hearing 2.70 1,782.0005/19/21 GSC 8 Correspondence to DCPF/Manville counsel re 0.30 198.00hearing on trust discovery motion 05/20/21 KRC 8 Work on tasks related to Trust discovery 0.10 33.0005/20/21 GSC 8 Preparation for and participation in conference with 2.10 1,386.00DBMP, co-counsel and claims experts re estimation planning 05/20/21 RCW 8 Participate in call with client, co-counsel, experts, 0.50 245.00and GS Cassada re case tasks 05/21/21 KRC 8 Work on tasks related to Trust discovery motion 0.10 33.0005/21/21 GSC 8 Correspondence to DBMP re trust discovery 0.40 264.0005/21/21 GSC 8 Correspondence with co-counsel re schedule for 0.40 264.00discovery motions 05/21/21 GSC 8 Correspondence to DCPF counsel re trust 0.30 198.00discovery order 05/24/21 SLP 8 Confer with GS Cassada re asbestos trust 0.20 84.00discovery issues 05/24/21 KRC 8 Work on tasks related to Trust Discovery motion 0.10 33.0005/24/21 GSC 8 Conference with co-counsel and claims expert re 0.20 132.00estimation project statuses and updates 05/24/21 GSC 8 Work on further revisions to trust discovery order 1.30 858.00and cover message to counsel for DCPF, Manville Trust, ACC, and FCR 05/24/21 GSC 8 Confer with SL Pratt re asbestos trust discovery 0.20 132.00issues 05/25/21 GSC 8 Review and analysis of J Rubinstein's 0.50 330.00correspondence itemizing objections to revised trust discovery order 05/25/21 GSC 8 Participation in weekly estimation work-in-process 1.40 924.00conference 05/25/21 GSC 8 Work on discovery requests to ACC/FCR re 0.40 264.00hearing on DBMP discovery motions

19

Date Professional Task Narrative Hours Amount revised trust discovery order 05/25/21 RCW 8 Call with client, co-counsel, and GS Cassada re 1.40 686.00case tasks 05/25/21 AWT 8 Review correspondence re perpetuation deposition 0.10 53.0005/25/21 KRC 8 Work on tasks related to Trust discovery motion 0.20 66.0005/26/21 KRC 8 Work on tasks related to Trust discovery motion 0.30 99.0005/26/21 KRC 8 Confer with SL Riggins re discovery tasks 0.10 33.0005/26/21 GSC 8 Analysis of services issues for discovery motion 0.50 330.00hearing 05/26/21 GSC 8 Correspondence with co-counsel re discussions 0.30 198.00with ACC/FCR counsel re hearing and objection schedule for discovery motions 05/26/21 GSC 8 Review and input re discovery letter to FCR 0.60 396.00counsel 05/26/21 RCW 8 Review letter to ACC/FCR re discovery requests 0.60 294.0005/27/21 SLP 8 Prepare for meet and confer re proposed order on 0.10 42.00trust discovery motion 05/27/21 KRC 8 Work on tasks related to Trust discovery motion 0.10 33.0005/27/21 SLP 8 Participate in meet and confer re proposed order 0.80 336.00on trust discovery motion 05/27/21 KRC 8 Participate in meet-and-confer call re Trust 0.70 231.00Discovery motion 05/27/21 SLP 8 Confer with GS Cassada re proposed order on 0.10 42.00trust discovery motion 05/27/21 GSC 8 Work on correspondence to chamber re discovery 0.20 132.00hearing 05/27/21 GSC 8 Preparation for meet and confer with DCPF and 0.40 264.00Manville Trust counsel re form of trust discovery order 05/27/21 GSC 8 Participation in meet and confer with DCPF and 0.70 462.00Manville Trust counsel re form of trust discovery order 05/27/21 GSC 8 Participation in conference with DBMP, co-counsel 1.00 660.00and claims expert re preparation for estimation project 05/27/21 GSC 8 Work on discovery requests to ACC re DBMP's 0.50 330.00discovery motions 05/28/21 KRC 8 Work on tasks related to Trust and PIQ discovery 0.20 66.00motions 05/28/21 GSC 8 Conference with DBMP and co-counsel re 0.70 462.00offensive discovery 8 Total: 27,325.00 Total Fees: $ 38,762.50

20

Professional Hours Rate Amount Jake Raynor 0.10 210.00 21.00 Tamara Redi 2.40 260.00 624.00 Satyra Riggins 6.60 260.00 1,716.00 Kevin Crandall 8.40 330.00 2,772.00 Demi Bostian 0.20 350.00 70.00 Stuart Pratt 2.00 420.00 840.00 Richard Worf, Jr. 8.10 490.00 3,969.00 Andrew Tarr 2.30 530.00 1,219.00 David Schilli 6.10 575.00 3,507.50 Garland Cassada 36.40 660.00 24,024.00 72.60 $38,762.50 isbursements Through May 31, 2021 ate Description Amount 5/07/21 Vendor: Janice Russell Transcripts; Invoice#: 21-71; Date: 5/7/2021 329.80Total Disbursements: $ 329.80 Total Current Billing: $ 39,092.30

21

EXHIBIT A-2

22

Robinson Bradshaw 101 North Tryon Street, Suite 1900 Charlotte, NC 28246 t: 704.377.2536 robinsonbradshaw.com Fed. Tax ID 56-0944079 Leslie Dallas DBMP LLC Invoice Date September 9, 2021 Law Department Invoice No. 668899 20 Moores Road Malvern, PA 19355 RE: Chapter 11 Case Client ID: 26969 Matter ID: 00011 Claim Number: SG-008044 Invoice Summary Total Professional Services This Invoice $ 90,944.00 Total Disbursements This Invoice $ 377.85 Total This Invoice $ 91,321.85 Outstanding Balance on Amounts Previously Billed Invoice Date Invoice Number Invoice Amount Payments/Credits Balance Due06/30/2021 667309 $39,092.30 $(35,212.05) $3,880.25 Outstanding Balance $3,880.25 Total Now Due $ 95,202.10 Payment Options Check Wire/ACH Make check payable to: Bank Name: Bank of America Robinson Bradshaw Bank Address: 100 N. Tryon Street, Charlotte, NC 28255101 N. Tryon Street, Suite 1900 Account Name: Robinson, Bradshaw & Hinson, PACharlotte, NC 28246 ABA No (Wire): 026009593 ABA No (ACH): 053000196 Account No. 237023224173 SWIFT Code: BOFAUS3N (International wires only) Charges due upon receipt of invoice Please reference invoice or client number on remittance

23

Robinson Bradshaw 101 North Tryon Street, Suite 1900 Charlotte, NC 28246 t: 704.377.2536 robinsonbradshaw.com Fed. Tax ID 56-0944079 Leslie Dallas DBMP LLC Invoice Date September 9, 2021 Law Department Invoice No. 668899 20 Moores Road Malvern, PA 19355 RE: Chapter 11 Case Client ID: 26969 Matter ID: 00011 Claim Number: SG-008044 or Professional Services Rendered Through June 30, 2021 Date Professional Task Narrative Hours Amount 06/01/21 GSC 1 Participation in portion of work-in-process call 0.30 198.0006/07/21 TCR 1 Review, analyze and distribute court filings 0.10 26.0006/08/21 SLR 1 Finalize and e-file OCP declaration 0.20 52.0006/08/21 GSC 1 Participation in regular work-in-process and case 1.20 792.00planning conference 06/09/21 SLR 1 Finalize and e-fie affidavit of service 0.20 52.0006/09/21 SLR 1 Finalize and e-file notice of revised trust order and 0.60 156.00notice of responsive deposition designations 06/10/21 TCR 1 Review, analyze and distribute court filings 0.50 130.0006/11/21 TCR 1 Review, analyze and distribute court filings 1.40 364.0006/12/21 SLR 1 Download and process court fiings 0.80 208.0006/15/21 SLR 1 Finalize and e-file agenda for 6/17 hearing 0.20 52.0006/15/21 SLR 1 Review/analyze master calendar of deadlines 0.20 52.0006/16/21 TCR 1 Review, analyze and distribute court filings 0.30 78.0006/16/21 SLR 1 Work on docketing matters 0.60 156.00 06/16/21 SLR 1 Finalize and e-file response to motion to reopen 0.20 52.00record 06/17/21 AWT 1 Analyze matters re debtor's response to ACC 0.20 106.00motion to reopen the record 06/18/21 TCR 1 Review, analyze and distribute court filings 0.20 52.0006/21/21 AWT 1 Review and comment on draft fourth motion to 0.50 265.00extend removal deadline 06/22/21 SLR 1 Finalize and e-file fourth motion to extend removal 0.30 78.00period with notice of opportunity for hearing

24

Date Professional Task Narrative Hours Amount 06/22/21 GSC 1 Participation in weekly work-in-process conference 1.20 792.0006/23/21 AWT 1 Analyze matters re professional fee applications 0.20 106.00and other upcoming filings 06/23/21 GSC 1 Participation in weekly work-in-process call with 1.20 792.00DBMP and co-counsel 06/25/21 TCR 1 Review, analyze and distribute court filings 1.30 338.0006/29/21 KRC 1 Confer with client, co-counsel, GS Cassada, and 1.00 330.00RC Worf re case tasks 06/29/21 GSC 1 Participation in weekly work-in-process conference 1.00 660.0006/29/21 TCR 1 Review, analyze and distribute court filings 0.10 26.00 1 Total: 5,913.00 06/30/21 AWT 11 Review and comment on draft monthly report 0.40 212.0006/30/21 SLR 11 Finalize and e-file monthly report 0.20 52.0011 Total: 264.00 06/16/21 DMS 12 Review and analyze claimant representatives' 1.30 747.50motion to seal and motion to reopen record on preliminary injunction motion and stay relief motion re finalizing debtors response thereto and in preparation for hearing 06/16/21 DMS 12 Review, revise, communicate with co-counsel and 2.80 1,610.00coordinate filing re debtor's response to claimants' representatives motion to reopen record and supporting declaration 06/21/21 DMS 12 Communicate with Robinson Bradshaw team re 0.20 115.00motion to extend removal deadline 06/22/21 DMS 12 Review, analyze, communicate with co-counsel 0.30 172.50and coordinate filing re motion to extend removal deadline 12 Total: 2,645.00 06/01/21 DMS 15 Communicate with GS Cassada re potential 0.30 172.50supplemental disclosures for retention and next steps 06/01/21 DMS 15 Review and revise GS Cassada supplemental 0.40 230.00disclosure 06/08/21 DMS 15 Review, analyze, communicate with co-counsel 0.20 115.00and coordinate filing re ordinary course professional declaration 06/23/21 DLB 15 Work on DRC engagement documents 1.00 330.0006/24/21 RCW 15 Continue preparing potential retention application 2.40 1,176.0006/29/21 DLB 15 Work on DRC engagement letter 0.40 132.00 15 Total: 2,155.50 06/02/21 SLR 16 Work on April monthly fee statement 0.20 52.0006/02/21 SLR 16 Review and revise interim fee application and 0.60 156.00

25

Date Professional Task Narrative Hours Amount 06/03/21 SLR 16 Finalize April monthly fee statement 0.40 104.0006/03/21 SLR 16 Revise fee application and supporting exhibits 0.70 182.0006/07/21 SLR 16 Review correspondence re interim fee application 0.20 52.00status 06/07/21 DMS 16 Communicate with SL Riggins re fourth interim fee 0.10 57.50application 06/11/21 SLR 16 Work on May monthly fee statement 0.80 208.0006/12/21 SLR 16 Work on May monthly fee statement 0.20 52.0006/14/21 SLR 16 Prepare documents for attorney and client review 0.30 78.0006/21/21 SLR 16 Work on invoicing matters 0.20 52.00 06/22/21 SLR 16 Work on interim fee application 0.20 52.00 06/22/21 GSC 16 Work on quarterly fee application 1.00 660.0006/23/21 DMS 16 Communicate with AW Tarr and SL Riggins re fee 0.20 115.00application preparation and noticing issues 06/24/21 AWT 16 Work on quarterly fee application matters 0.10 53.0006/24/21 SLR 16 Plan and prepare for interim fee application filings 0.30 78.0006/24/21 SLR 16 Finalize and efile interim fee applications with 0.50 130.00notice of opportunity for hearing 16 Total: 2,081.50 06/14/21 AWT 7 Analyze new hearing protocols and communication 0.10 53.00re same to client group and co-counsel 06/14/21 DMS 7 Review, analyze and communicate with Robinson 0.20 115.00Bradshaw team re return of in-person court hearings 06/14/21 DMS 7 Communicate with Jones Day team and client re 0.20 115.00return of in-person court hearings 06/14/21 DMS 7 Review, analyze and communicate with SL Riggins 0.20 115.00re June 17 omnibus hearing calendar issues 06/14/21 DMS 7 Review, analyze and communicate with co-counsel 0.20 115.00re June 17 omnibus hearing calendar issues 06/15/21 DMS 7 Review, revise, communicate with co-counsel and 0.20 115.00coordinate filing re June 17 omnibus hearing agenda 06/16/21 DMS 7 Communicate with Bankruptcy Court Chambers re 0.20 115.00ominbus hearing attendance 06/17/21 DMS 7 Represent debtor at omnibus hearing 1.00 575.0006/17/21 DMS 7 Summarize omnibus hearing outcomes and status 0.60 345.00report for Robinson Bradshaw team 06/29/21 SLR 7 Work on assorted tasks in preparation for 7/15 0.60 156.00hearing 7 Total: 1,819.00 06/04/21 GSC 8 Finalize and serve discovery on discovery motions 0.50 330.0006/04/21 GSC 8 Conference with co-counsel re trust motion 0.30 198.00

26

Date Professional Task Narrative Hours Amount 06/04/21 SLR 8 Prepare documents for co-counsel's review 0.30 78.0006/07/21 SLP 8 Participate in meet and confer re asbestos trust 0.20 84.00discovery issues 06/07/21 GSC 8 Review and analysis of Bates deposition for 2.10 1,386.00confidentiality designations 06/07/21 GSC 8 Correspondence with co-counsel re analysis of 0.40 264.00Bates deposition for confidentiality designations 06/07/21 KRC 8 Confer with GS Cassada re tasks related to Trust 0.10 33.00and PIQ discovery motions 06/07/21 KRC 8 Work on tasks related to PIQ and Trust discovery 0.10 33.00motions 06/07/21 GSC 8 Case update conference with co-counsel, claims 0.20 132.00expert and RC Worf 06/07/21 RCW 8 Confer with experts, co-counsel, and GS Cassada 0.20 98.00re case tasks 06/07/21 RCW 8 Review discovery requests 0.30 147.00 06/07/21 GSC 8 Confer with KR Crandall re tasks related to Trust 0.10 66.00and PIQ discovery motions 06/08/21 KRC 8 Work on tasks related to PIQ and Trust discovery 0.90 297.00motions 06/08/21 SLR 8 Prepare for trust discovery order filing 0.20 52.0006/08/21 GSC 8 Review of discovery requests re trust data 0.50 330.00discovery 06/08/21 GSC 8 Correspondence to DCPF counsel re DBMP's 0.40 264.00position on hearing on schedule for trust discovery motion 06/08/21 GSC 8 Preparation of revised trust discovery order and 0.50 330.00cover notice 06/08/21 GSC 8 Review and analysis of correspondence from ACC 0.30 198.00counsel forecasting objections to PIQ motion 06/09/21 KRC 8 Work on tasks related to Trust discovery motion 0.50 165.0006/09/21 KRC 8 Confer with GS Cassada re tasks related to Trust 0.20 66.00discovery motion 06/09/21 GSC 8 Preparation of form of trust discovery order and 0.70 462.00notice of filing form of order 06/09/21 GSC 8 Confer with KR Crandall re tasks related to Trust 0.20 132.00discovery motion 06/10/21 KRC 8 Work on tasks related to Trust discovery motion 0.10 33.0006/11/21 KRC 8 Work on tasks related to PIQ and Trust discovery 1.10 363.00motions 06/11/21 SLR 8 Download and process filings related to estimation 0.90 234.00discovery 06/11/21 GSC 8 Review of draft discovery requests re trust 1.10 726.00discovery motion 06/11/21 GSC 8 Review and analysis of ACC response to PIQ 1.30 858.00

27

Date Professional Task Narrative Hours Amount 06/12/21 GSC 8 Review and analysis of objections to PIQ and Trust 3.10 2,046.00Discovery Motions 06/14/21 KRC 8 Confer with RBH team re case tasks 0.40 132.0006/14/21 PSR 8 Confer with RBH team re discovery issues 0.40 124.0006/14/21 SLP 8 Confer with RBH Team re objections to trust 0.40 168.00discovery and PIQ motions and responses thereto 06/14/21 SLR 8 Meeting with RBH team regarding case status and 0.40 104.00upcoming projets 06/14/21 DLB 8 Work on PIQ reply brief 0.30 99.00 06/14/21 GSC 8 Further review and analysis of discovery motion 0.80 528.00objections 06/14/21 GSC 8 Teleconference re objections to discovery motions 0.30 198.0006/14/21 GSC 8 Conference with RBH team re case project status 0.40 264.00and planning 06/14/21 GSC 8 Correspondence to DBMP and co-counsel re 0.40 264.00status of discovery motions 06/14/21 GSC 8 Conference with co-counsel. , claims experts , and 0.50 330.00RC Worf re case project update 06/14/21 DLB 8 Confer with RBH case team re matter development 0.40 132.0006/14/21 RCW 8 Confer with RBH team re case tasks 0.40 196.0006/14/21 RCW 8 Confer with experts, co-counsel, and GS Cassada 0.50 245.00re case tasks 06/14/21 RCW 8 Confer with GS Cassada re PIQ and Trust 0.10 49.00discovery 06/14/21 RCW 8 Review objections to PIQ and Trust discovery 1.20 588.0006/14/21 KRC 8 Work on reply brief in support of Trust discovery 3.30 1,089.00motion 06/14/21 GSC 8 Confer with RC Worf re PIQ and Trust discovery 0.10 66.0006/15/21 GSC 8 Review and analysis of responses/objections to 2.10 1,386.00PIQ and Trust discovery 06/15/21 DLB 8 Draft PIQ Reply Brief 5.50 1,815.00 06/15/21 KRC 8 Draft reply brief in support of Trust discovery 3.80 1,254.00motion 06/15/21 JLR 8 Work on technical tasks re potential exhibits for 0.20 42.00estimation discovery hearings 06/15/21 SLR 8 Prepare documents for attorney review 0.80 208.0006/15/21 KRC 8 Confer with client, co-counsel, GS Cassada and 1.10 363.00RC Worf re case tasks 06/15/21 RCW 8 Participate in call with client, co-counsel, GS 1.10 539.00Cassada, and K Crandall re case tasks 06/15/21 RCW 8 Continue review of PIQ and Trust discovery 1.30 637.00objections 06/16/21 DLB 8 Draft PIQ reply brief 7.10 2,343.00 06/16/21 KRC 8 Draft reply brief in support of motion for trust 5.40 1,782.00

28

Date Professional Task Narrative Hours Amount 06/16/21 RCW 8 Work on replies in support of discovery motions 4.60 2,254.0006/17/21 RCW 8 Confer with client, experts, co-counsel, and GS 0.30 147.00Cassada re case tasks 06/17/21 RCW 8 Confer with DL Bostian re reply in support of PIQ 0.40 196.00motion 06/17/21 RCW 8 Continue work on replies in support of discovery 1.80 882.00motions 06/17/21 DLB 8 Confer with RC Worf re reply in support of PIQ 0.40 132.00motion 06/17/21 PSR 8 Work on reply brief for Trust discovery motion 4.80 1,488.0006/17/21 DLB 8 Draft PIQ reply brief 6.10 2,013.00 06/17/21 KRC 8 Work on reply brief in support of trust discovery 7.80 2,574.00motion 06/17/21 GSC 8 Conference with DBMP, co-counsel claims expert, 0.30 198.00and RC Worf re estimation project status 06/18/21 PSR 8 Work on reply brief for Trust discovery motion 1.40 434.0006/18/21 DLB 8 Draft PIQ reply brief 5.70 1,881.00 06/18/21 KRC 8 Work on reply brief in support of trust discovery 5.00 1,650.00motion 06/18/21 KRC 8 Series of calls with PS Rini re reply brief in support 0.30 99.00of trust discovery motion 06/18/21 GSC 8 Review of stipulation re expert witness fees 0.30 198.0006/18/21 WAS 8 Condut research; confer with KR Crandall re 1.30 247.00results 06/18/21 RCW 8 Continue work on replies in support of discovery 0.70 343.00motions 06/19/21 DLB 8 Draft PIQ reply 0.40 132.00 06/19/21 KRC 8 Work on reply brief in support of Trust discovery 2.80 924.00motion 06/20/21 KRC 8 Work on reply brief in support of Trust discovery 3.30 1,089.00motion 06/20/21 DLB 8 Draft PIQ Reply 0.60 198.00 06/21/21 PSR 8 Confer with RBH team re discovery issues 0.30 93.0006/21/21 DLB 8 Draft PIQ Reply 1.20 396.00 06/21/21 KRC 8 Work on reply brief in support of Trust discovery 10.60 3,498.00motion 06/21/21 GSC 8 Regular case update and project status conference 0.30 198.00with co-counsel , claims experts, and RC Worf 06/21/21 RCW 8 Confer with RBH team re case tasks 0.30 147.0006/21/21 RCW 8 Confer with experts, co-counsel, and GS Cassada 0.30 147.00re case tasks 06/21/21 RCW 8 Continue work on replies in support of discovery 2.80 1,372.00motions 06/21/21 RCW 8 Work on potential retention application 2.00 980.00

29

Date Professional Task Narrative Hours Amount projects 06/21/21 SLP 8 Confer with RBH Team re PIQ and Trust discovery 0.30 126.00planning and strategy tasks 06/21/21 KRC 8 Confer with RBH team re case tasks 0.30 99.0006/21/21 DLB 8 Call with RBH team to discuss matter development 0.30 99.0006/21/21 DLB 8 Email correspondence with R Worf, J Ellman re 0.10 33.00matter development 06/22/21 GSC 8 Conference with co-counsel and claims experts re 1.20 792.00estimation preparation and planning 06/22/21 RCW 8 Continue work on reply in support of discovery 2.80 1,372.00motion 06/22/21 KRC 8 Work on reply brief in support of Trust discovery 3.20 1,056.00motion 06/23/21 KRC 8 Work on tasks related to PIQ and Trust discovery 0.10 33.00motions 06/23/21 GSC 8 Participation in meet and confer re defense counsel 0.60 396.00PIQ 06/23/21 RCW 8 Continue work on reply in support of discovery 0.50 245.00motion 06/23/21 RCW 8 Confer with client, co-counsel, and GS Cassada re 1.20 588.00case tasks 06/24/21 KRC 8 Work on reply in support of Trust discovery motion 0.50 165.0006/24/21 DLB 8 Work on PIQ project 1.10 363.00 06/24/21 RCW 8 Continue work on reply in support of discovery 1.00 490.00motion 06/24/21 GSC 8 Review and analysis of draft correspondence re 0.40 264.00subpoena issue 06/25/21 KRC 8 Work on reply brief in support of Trust discovery 6.30 2,079.00motion 06/25/21 SLR 8 Review/analyze filings 0.20 52.00 06/25/21 RCW 8 Continue work on reply in support of discovery 4.90 2,401.00motion 06/26/21 DLB 8 Confer with R Worf re PIQ Reply brief 0.10 33.0006/26/21 RCW 8 Continue work on reply in support of discovery 7.40 3,626.00motion 06/26/21 RCW 8 Confer with DL Bostian re PIQ Reply brief 0.10 49.0006/27/21 KRC 8 Work on reply brief in support of motion for Trust 3.20 1,056.00discovery 06/28/21 DLB 8 Work on PIQ hearing preparation 4.90 1,617.0006/28/21 DLB 8 Confer with RBH team re matter development 0.20 66.0006/28/21 KRC 8 Work on asbestos-related discovery tasks 0.40 132.0006/28/21 KRC 8 Work on reply brief in support of Trust discovery 0.70 231.0006/28/21 SLR 8 Work on items for upcoming hearing on discovery 0.40 104.00motions

30

Date Professional Task Narrative Hours Amount 06/28/21 GSC 8 Review and analysis of ACC objections to motion 1.20 792.00for trust discovery 06/28/21 SLR 8 Meeting with RBH team re case status and 0.30 78.00upcomng projects 06/28/21 GSC 8 Case planning and coordination conference with 0.20 132.00RBH Team 06/28/21 RCW 8 Confer with RBH team re case tasks 0.20 98.0006/28/21 PSR 8 Confer with RBH Team re discovery 0.20 62.00 06/29/21 KRC 8 Work on tasks related to Trust discovery motion 2.30 759.0006/29/21 KRC 8 Work on asbestos-related discovery tasks 0.20 66.0006/29/21 KRC 8 Confer with GS Cassada re tasks related to Trust 0.20 66.00discovery motion 06/29/21 RCW 8 Confer with client, co-counsel, and GS Cassada re 0.90 441.00case tasks 06/29/21 GSC 8 Confer with KR Crandall re tasks related to Trust 0.20 132.00discovery motion 06/29/21 GSC 8 Conference with KR Crandall re tasks related to 1.10 726.00Trust discovery 06/29/21 GSC 8 Conference with K. Crandall re preparation for 7/15 1.00 660.00hearing on trust discovery motion 06/29/21 GSC 8 Further work on trust discovery reply 1.80 1,188.0006/29/21 KRC 8 Conference with GS Cassada re tasks related to 1.10 363.00Trust discovery 06/29/21 GSC 8 Work on reply to objections to trust discovery 2.10 1,386.00motion 06/30/21 DLB 8 Work on PIQ hearing slide deck 0.60 198.00 06/30/21 KRC 8 Work on tasks related to Trust discovery motion 4.20 1,386.0006/30/21 KRC 8 Confer with GS Cassada re tasks related to Trust 0.30 99.00discovery motion 06/30/21 GSC 8 Confer with client, co-counsel, GS Cassada and 1.10 726.00KR Crandall re case tasks 06/30/21 RCW 8 Confer with client, co-counsel, GS Cassada and 1.10 539.00KR Crandall re case tasks 06/30/21 GSC 8 Teleconference with K Crandall re preparation of 0.30 198.00trust discovery reply 8 Total: 76,066.00 Total Fees: $ 90,944.00 Summary of Professional Services Professional Hours Rate Amount Walter Short 1.30 190.00 247.00 Jake Raynor 0.20 210.00 42.00

31

Summary of Professional Services Professional Hours Rate Amount Satyra Riggins 12.50 260.00 3,250.00 Preetha Rini 7.10 310.00 2,201.00 Kevin Crandall 71.00 330.00 23,430.00 Demi Bostian 36.40 330.00 12,012.00 Stuart Pratt 0.90 420.00 378.00 Richard Worf, Jr. 40.80 490.00 19,992.00 Andrew Tarr 1.50 530.00 795.00 David Schilli 8.60 575.00 4,945.00 Garland Cassada 34.30 660.00 22,638.00 218.50 $90,944.00 Disbursements Through June 30, 2021 Date Description Amount 06/23/21 Vendor: Janice Russell Transcripts; Invoice#: 21-87; Date: 6/23/2021 150.3506/25/21 Pacer Database Search 227.50 Total Disbursements: $ 377.8 Total Current Billing: $ 91,321.8

32

EXHIBIT A-3

33

Robinson Bradshaw 101 North Tryon Street, Suite 1900 Charlotte, NC 28246 t: 704.377.2536 robinsonbradshaw.com Fed. Tax ID 56-0944079 Leslie Dallas DBMP LLC Invoice Date September 9, 2021 Law Department Invoice No. 670383 20 Moores Road Malvern, PA 19355 RE: Chapter 11 Case Client ID: 26969 Matter ID: 00011 Claim Number: SG-008044 Invoice Summary Total Professional Services This Invoice $ 73,284.50 Total Disbursements This Invoice $ 0.00 Total This Invoice $ 73,284.50 Outstanding Balance on Amounts Previously Billed Invoice Date Invoice Number Invoice Amount Payments/Credits Balance Due06/30/2021 667309 $39,092.30 $(35,212.05) $3,880.25 Outstanding Balance $3,880.25 Total Now Due $ 77,164.75 Payment Options Check Make check payable to: Robinson Bradshaw 101 N. Tryon Street, Suite 1900 Charlotte, NC 28246 Charges due upon receipt of invoice Please reference invoice or client number on remittance

34

Robinson Bradshaw 101 North Tryon Street, Suite 1900 Charlotte, NC 28246 t: 704.377.2536 robinsonbradshaw.com Fed. Tax ID 56-0944079 Leslie Dallas DBMP LLC Invoice Date September 9, 2021 Law Department Invoice No. 670383 20 Moores Road Malvern, PA 19355 RE: Chapter 11 Case Client ID: 26969 Matter ID: 00011 Claim Number: SG-008044 or Professional Services Rendered Through July 31, 2021 Date Professional Task Narrative Hours Amount 07/01/21 AWT 1 Analyze issues re potential motion to continue 0.10 53.00hearing on Committee discovery matters 07/02/21 AWT 1 Communicate with Jones Day re motion to 0.70 371.00continue and motion to shorten notice on motion to continue, and review and comment on motion to continue and motion to shorten notice 07/02/21 SLR 1 Finalize and e-file motion to continue DCQ hearing 0.30 78.00and motion to shorten notice 07/02/21 TCR 1 Review, analyze and distribute court filings 0.20 52.0007/06/21 AWT 1 Analyze issues re court's ruling and order on 0.10 53.00motion to continue ACC discovery motions 07/07/21 SLR 1 Finalize and upload order continuing hearing on 0.20 52.00discovery motions 07/07/21 SLR 1 Update master case calendar re updated deadlines 0.20 52.0007/08/21 SLR 1 Confer with co-counsel re service of order 0.20 52.00continuing discovery motions 07/09/21 TCR 1 Review, analyze and distribute court filings 0.30 78.0007/12/21 SLR 1 Finalize and upload order on fourth removal period 0.20 52.0007/12/21 AWT 1 Communicate re cancellation of July 15 omnibus 0.10 53.00hearing 07/13/21 KRC 1 Confer with client, co-counsel, GS Cassda, and RC 1.20 396.00Worf, re case tasks 07/13/21 SLR 1 Finalize and e-file notice of cancellation of 7/15 0.30 78.00hearing and upload order on Jones Day fee application 07/13/21 AWT 1 Review and comment on draft notice of 0.20 106.00

35

Date Professional Task Narrative Hours Amount cancellation of hearing and draft pro hac vice papers 07/15/21 AWT 1 Advise re local counsel issues on trust discovery 0.10 53.0007/16/21 TCR 1 Review, analyze and distribute court filings 0.60 156.0007/20/21 SLR 1 Upload proposed order for entry 0.20 52.00 07/23/21 TCR 1 Review, analyze and distribute court filings 0.30 78.0007/30/21 TCR 1 Review, analyze and distribute court filings 0.10 26.00 1 Total: 1,891.00 07/15/21 DMS 11 Prepare and communicate with client re quarterly 0.30 172.50fee invoice 07/21/21 DMS 11 Review, analyze and communicate with client and 0.40 230.00co-counsel re revised quarterly fee statement and invoice to client for payment of same 07/28/21 SLR 11 Work on preparation for payment of quarterly fees 0.20 52.0007/28/21 DMS 11 Review, analyze, communicate with co-counsel 0.30 172.50and coordinate filing re quarterly fee statement and payment of quarterly fee 07/30/21 DMS 11 Review, revise, communicate with co-counsel and 0.80 460.00coordinate filing re monthly status report 07/30/21 DMS 11 Review, revise, communicate with co-counsel and 0.10 57.50coordinate filing re quarterly fee statement 07/30/21 SLR 11 Finalize and e-file quarterly fee statement and 0.50 130.00coordinate deliver off quarterly fees to court 07/30/21 SLR 11 Finalize and e-file monthly status report 0.30 78.0011 Total: 1,352.50 07/12/21 DMS 12 Review, revise, communicate with co-counsel and 0.20 115.00coordinate filing re order granting fourth extension of removal deadline 07/20/21 DMS 12 Review, revise, communicate with co-counsel and 0.20 115.00coordinate filing re order authorizing reopening of record in preliminary injunction proceeding and stay relief proceeding 12 Total: 230.00 07/01/21 DLB 15 Revise materials for application to employ DRC 2.10 693.0007/02/21 DLB 15 Work on Application, Order, and Declaration re 1.20 396.00DRC engagement 07/12/21 DLB 15 Work on application to employ Donlin Recano 0.20 66.0007/16/21 DLB 15 Revise DRC Application and Order 0.70 231.0007/20/21 DLB 15 Work on Donlin Application 0.80 264.00 07/21/21 DLB 15 Revise Application to employ Donlin 0.80 264.0007/22/21 DLB 15 Finalize Application to Employ Donlin materials 0.40 132.0007/22/21 SLR 15 Review/analyze Donlin retention papers 0.30 78.00

36

Date Professional Task Narrative Hours Amount PIQ 07/23/21 DLB 15 Email correspondence with client re filing of 0.10 33.00application to employ Donlin 15 Total: 2,261.00 07/06/21 SLR 16 Work on monthly fee statement 0.20 52.00 07/13/21 DMS 16 Review, analyze, communicate with co-counsel 0.20 115.00and coordinate filing re order approving interim fee applications 07/15/21 AWT 16 Communicate re fee applications 0.10 53.00 07/15/21 SLR 16 Finalize and upload orders on fee applications for 0.40 104.00entry by Court 07/28/21 SLR 16 Finalize monthly fee statement 0.40 104.00 16 Total: 428.00 07/11/21 GSC 4 Review, analysis of work on plan of reorganization 3.10 2,046.00and plan documents 07/20/21 GSC 4 Conference with DBMP and co-counsel re plan 0.70 462.00documents 07/20/21 GSC 4 Further work on plan documents 0.80 528.00 07/23/21 KRC 4 Work on tasks related to plan of reorganization 0.80 264.0007/23/21 GSC 4 Confer with expert, co-counsel, and KR Crandall re 0.90 594.00plan of reorganization 07/23/21 AWT 4 Communicate with Jones Day re plan of 0.40 212.00reorganization 07/23/21 KRC 4 Confer with expert, co-counsel, and GS Cassada 0.90 297.00re plan of reorganization 07/23/21 SLR 4 Finalize and e-file plan of reorganization 0.50 130.0007/23/21 GSC 4 Conference with co-counsel and claims experts re 0.80 528.00drafting of plan documents 4 Total: 5,061.00 07/01/21 AWT 7 Prepare for July 15 omnibus hearing 0.10 53.0007/01/21 DMS 7 Review, analyze and communicate with Robinson 0.50 287.50Bradshaw team re Rule 2004 discovery motions calendared for July 15 omnibus hearing date 07/01/21 DMS 7 Review, analyze and communicate with co-counsel 0.40 230.00re local rules and local practice for hearing continuance motions 07/02/21 DMS 7 Review, analyze and communicate with co-counsel 1.20 690.00re procedures for seeking expedited hearing on continuance motion 07/02/21 DMS 7 Draft correspondence to Bankruptcy Court 0.40 230.00Chambers re expedited hearing date on debtor's motion to continue 07/12/21 DMS 7 Review, analyze and communicate with co-counsel 0.40 230.00

37

Date Professional Task Narrative Hours Amount 07/12/21 DMS 7 Review, analyze and communicate with Robinson 0.20 115.00Bradshaw team re July 15 omnibus hearing calendar issues 07/13/21 DMS 7 Review, analyze, communicate with co-counsel 0.20 115.00and coordinate filing re notice of cancellation of July omnibus hearing 07/15/21 GSC 7 Preparation for hearing on trust discovery 0.60 396.0007/28/21 GSC 7 Review of materilas for 8/12 hearing 0.50 330.0007/28/21 GSC 7 Conference with co-counsel re preparation for 8/12 1.00 660.00trust discovery hearing 07/30/21 SLR 7 Work on 8/12 hearing preparations 1.50 390.00 7 Total: 3,726.50 07/01/21 RCW 8 Continue drafting reply in support of discovery 1.90 931.00motion 07/01/21 RCW 8 Confer with claims agent re case tasks 0.50 245.0007/01/21 KRC 8 Work on tasks related to Trust discovery motion 2.30 759.0007/02/21 KRC 8 Work on Trust discovery reply brief 3.90 1,287.0007/02/21 DMS 8 Review, revise, communicate with co-counsel and 1.20 690.00coordinate filing re motion to continue hearing on ACC's Rule 2004 discovery motion and related motion to shorten notice 07/05/21 KRC 8 Work on tasks related to Trust reply briief 1.60 528.0007/05/21 KRC 8 Confer with RBH team re case tasks 0.20 66.0007/05/21 DLB 8 Confer with RBH team re case tasks 0.20 66.0007/05/21 TPM 8 Confer with RBH team re case tasks 0.20 55.0007/05/21 DMS 8 Review, revise, communicate with co-counsel re 0.50 287.50Bankruptcy Court's inquiries about motion to shorten notice and motion to continue hearing on ACC's Rule 2004 discovery of debtor's defense counsel 07/05/21 SLR 8 Confer with RBH team re case tasks and deadlines 0.20 52.0007/05/21 RCW 8 Continue drafting replies in support of discovery 2.40 1,176.00motions 07/05/21 RCW 8 Confer with RBH team re case tasks 0.20 98.0007/06/21 KRC 8 Work on tasks related to Trust discovery motion 2.60 858.0007/06/21 SLR 8 Assist with exhibits re PIQ reply brief 1.30 338.0007/06/21 KRC 8 Confer with GS Cassada re Trust reply brief 0.30 99.0007/06/21 KRC 8 Confer with client, co-counsel, and GS Cassada re 1.00 330.00case tasks 07/06/21 DLB 8 Work on PIQ Reply 2.30 759.00 07/06/21 GSC 8 Confer with KR Crandall re Trust reply brief 0.30 198.0007/06/21 GSC 8 Confer with client, co-counsel, and KR Crandall re 1.00 660.00case tasks

38

Date Professional Task Narrative Hours Amount 07/07/21 DMS 8 Review, revise, communicate with co-counsel and 0.30 172.50coordinate filing re order continuing July 15 hearings on debtor's Rule 2004 discovery motions 07/07/21 KRC 8 Work on tasks related to Trust discovery motion 0.40 132.0007/08/21 GSC 8 Planning for trust discovery hearing 0.60 396.0007/08/21 DLB 8 Email correspondence with client re matter 0.10 33.00development 07/08/21 KRC 8 Work on tasks related to PIQ and Trust discovery 0.20 66.00motions 07/09/21 KRC 8 Work on tasks related to PIQ and Trust discovery 0.90 297.00motions 07/12/21 SLP 8 Confer with RBH team re upcoming deadlines and 0.10 42.00tasks 07/12/21 KRC 8 Confer with RBH team re case tasks 0.10 33.0007/12/21 SLR 8 Attend RBH team meeting case status and 0.10 26.00upcoming projects 07/12/21 TPM 8 Confer with RBH team re case status 0.10 27.5007/12/21 GSC 8 Status and planning conference with RBH team 0.10 66.0007/12/21 GSC 8 Review, analysis and input re motion for estimation 2.50 1,650.00of debtor's liability for mesothelioma claims 07/12/21 RCW 8 Confer with RBH team re case tasks 0.10 49.0007/12/21 PSR 8 Confer with RBH team re discovery related issues 0.10 31.0007/13/21 KRC 8 Work on discovery tasks related to Trust discovery 0.10 33.00motion 07/13/21 GSC 8 Review and analysis of declarations by DCPF, 1.10 726.00Manville Trust and ACC supporting discovery positions 07/13/21 GSC 8 Participation in weekly work-in-process conference 1.20 792.0007/14/21 KRC 8 Work on tasks related to Trust discovery motion 0.60 198.0007/14/21 SLR 8 Draft deposition notice for Peterson deposition 0.40 104.0007/14/21 GSC 8 Correspondence with co-counsel re discovery re 0.50 330.00discovery motions 07/14/21 GSC 8 Work on notice of Peterson deposition 0.50 330.0007/14/21 GSC 8 Correspondence to DCPF counsel re discovery 0.50 330.00depositions 07/15/21 GSC 8 Conference with DBMP, co-counsel, and claims 0.50 330.00experts re case status and planning 07/15/21 KRC 8 Work on tasks related to Trust and PIQ discovery 0.60 198.00motions 07/15/21 SLR 8 Prepare logistics for Peterson deposition including 0.20 52.00revising deposition notice 07/15/21 SLR 8 Assist with preparation for discovery motions 0.40 104.00replies 07/16/21 KRC 8 Work on tasks related to Trust discovery 1.50 495.00

39

Date Professional Task Narrative Hours Amount discovery motion 07/16/21 SLR 8 Finalize Peterson deposition notice and circulate 0.50 130.00same; confer with court reporter re logistics 07/16/21 GSC 8 Correspondence with co-counsel and DCPF 0.70 462.00counsel re discovery depositions 07/16/21 GSC 8 Confer with KR Crandall re tasks related to Trust 0.20 132.00discovery motion 07/19/21 RCW 8 Confer with RBH team re case tasks 0.20 98.0007/19/21 PSR 8 Confer with RBH team re discovery related issues 0.20 62.0007/19/21 DLB 8 Confer with RBH team re matter development 0.10 33.0007/19/21 KRC 8 Continue work on tasks related to Trust discovery 0.40 132.00motion 07/19/21 TPM 8 Attend status update call 0.20 55.00 07/19/21 SLR 8 Meeting with RBH team regarding case tasks and 0.20 52.00upcoming projects 07/19/21 KRC 8 Confer with RBH team re case tasks 0.20 66.0007/19/21 KRC 8 Confer with GS Cassada re tasks related to Trust 0.80 264.00discovery motion 07/19/21 GSC 8 Conference with RBH team re estimation project 0.20 132.00update 07/19/21 GSC 8 Conference with co-counsel and claims experts re 0.30 198.00status of case projects 07/19/21 GSC 8 Teleconference with K. Crandall re preparation for 0.80 528.008/12 trust discovery hearing 07/20/21 KRC 8 Confer with GS Cassada re tasks related to Trust 0.40 132.00discovery motion 07/20/21 KRC 8 Work on tasks related to Trust discovery motion 2.10 693.0007/20/21 KRC 8 Confer with SL Riggins re upcoming deposition of 0.20 66.00ACC expert 07/20/21 SLR 8 Work on logistics for Peterson deposition including 0.50 130.00conferring with KR Crandall 07/20/21 KRC 8 Confer with client, co-counsel, and GS Cassada re 1.10 363.00case tasks 07/20/21 GSC 8 Estimation discovery planning conference with 1.10 726.00DBMP and co-counsel 07/21/21 KRC 8 Work on tasks related to Trust discovery motion 2.20 726.0007/21/21 KRC 8 Confer with co-counsel and GS Cassada re tasks 1.20 396.00related to Trust discovery 07/21/21 SLR 8 Draft deposition notices for trust declarants 0.60 156.0007/22/21 SLR 8 Work on logistics for Peterson deposition 0.20 52.0007/22/21 KRC 8 Work on tasks related to Trust discovery motion 0.50 165.0007/23/21 KRC 8 Prepare for deposition of ACC's expert 0.90 297.0007/23/21 KRC 8 Work on tasks related to Trust discovery 0.70 231.00

40

Date Professional Task Narrative Hours Amount order and trust subpoenas 07/23/21 GSC 8 Correspondence to DCPF/Manville Trust counsel 0.30 198.00re depositions 07/23/21 SLR 8 Confer with KR Crandall re preparations for 7/29 0.20 52.00filings 07/23/21 KRC 8 Confer with GS Cassada re tasks related to Trust 0.10 33.00discovery 07/23/21 KRC 8 Confer with client, co-counsel and GS Cassada re 0.70 231.00trust discovery motion 07/23/21 SLR 8 Work on Peteron deposition logistics and exhibit 0.80 208.00demo 07/23/21 GSC 8 Confer with KR Crandall re tasks related to Trust 0.10 66.00discovery 07/24/21 KRC 8 Prepare for deposition of ACC's expert 0.30 99.0007/25/21 GSC 8 Preparation for discovery deposition 3.80 2,508.0007/25/21 RCW 8 Edit motion for estimation of mesothelioma claims 3.10 1,519.0007/26/21 SLR 8 Meeting with RBH team re case status and 0.10 26.00upcoming projects 07/26/21 SLR 8 Work on Peterson deposition logistics 0.90 234.0007/26/21 KRC 8 Confer with RBH team re case tasks 0.10 33.0007/26/21 KRC 8 Work on tasks related to motion for estimation 0.10 33.0007/26/21 DLB 8 Conference with RBH litigation team re matter 0.10 33.00development 07/26/21 KRC 8 Work on tasks related to Trust discovery 0.40 132.0007/26/21 GSC 8 Case status and planning conference with co- 0.40 264.00counsel and claims experts 07/26/21 TPM 8 Attend status update call with bankruptcy team 0.10 27.5007/26/21 GSC 8 Estimation update and project status conference 0.10 66.00with RBH team 07/26/21 GSC 8 Teleconference with K Crandall re deposition 0.80 528.00preparation 07/26/21 GSC 8 Further work on form of trust discovery order 0.40 264.0007/26/21 GSC 8 Correspondence to DCPF/Manville Trust counsel 0.50 330.00re revised for of order, requests for meet and confer 07/26/21 GSC 8 Preparation for deposition 3.40 2,244.00 07/26/21 RCW 8 Confer with K Crandall re Peterson deposition 0.10 49.0007/26/21 RCW 8 Confer with experts, co-counsel, and GS Cassada 0.40 196.00re case tasks 07/26/21 RCW 8 Confer with RBH team re case tasks 0.10 49.0007/26/21 PSR 8 Confer with RBH team re briefing deadlines 0.10 31.0007/26/21 DLB 8 Work on PIQ slide deck 0.50 165.00 07/26/21 KRC 8 Series of calls with GS Cassada re Trust discovery 0.80 264.00

41

Date Professional Task Narrative Hours Amount 07/26/21 KRC 8 Prepare for deposition of ACC's expert 0.50 165.0007/26/21 KRC 8 Confer with RC Worf re preparations for deposition 0.10 33.00of ACC's expert witness 07/27/21 DLB 8 Work on PIQ related project 0.10 33.00 07/27/21 KRC 8 Prepare for deposition of ACC's expert 2.40 792.0007/27/21 KRC 8 Confer with GS Cassada re preparation for 0.30 99.00deposition of ACC expert 07/27/21 SLR 8 Assist with final preparations for Peterson 0.80 208.00deposition 07/27/21 KRC 8 Participate in deposition of ACC's expert 6.10 2,013.0007/27/21 KRC 8 Work on tasks related to Trust discovery motion 0.10 33.0007/27/21 GSC 8 Further preparation for deposition includig 1.40 924.00conferring with KR Crandall 07/27/21 GSC 8 Representation of debtor in deposition 6.10 4,026.0007/28/21 DLB 8 Work on PIQ reply brief 0.60 198.00 07/28/21 PSR 8 Confer re omnibus motion 0.30 93.00 07/28/21 RCW 8 Continue drafting reply in support of questionnaire 3.30 1,617.00motion 07/28/21 KRC 8 Work on reply brief re Trust discovery motion 0.50 165.0007/28/21 TPM 8 Work on PIQ project 0.90 247.50 07/28/21 SLR 8 Compile exhibits for trust reply 1.50 390.00 07/28/21 KRC 8 Confer with GS Cassada re case tasks 0.10 33.0007/28/21 GSC 8 Review and comment revised trust discovery order 0.30 198.0007/29/21 DLB 8 Revise DBMP reply brief 2.10 693.00 07/29/21 KRC 8 Finalize reply brief in support of Trust discovery 3.90 1,287.00motion 07/29/21 TPM 8 Work on PIQ related project 1.40 385.00 07/29/21 SLR 8 Continue work on exhibits to trust reply brief and 3.50 910.00finalize and file same 07/29/21 KRC 8 Confer with GS Cassada re tasks related to Trust 0.20 66.00discovery reply brief 07/29/21 KRC 8 Confer with client, co-counsel, GS Cassada, and 1.10 363.00RC Worf re case tasks 07/29/21 JLR 8 Prepare deposition transcripts and exhibits for 0.30 63.00attorney review 07/29/21 KRC 8 Series of calls with S Riggins re case filings 0.20 66.0007/29/21 SLR 8 Review, analyze and confirm record citations in 0.90 234.00PIQ reply brief 07/29/21 AWT 8 Review and communicate with Jones Day re 0.70 371.00estimation motion 07/29/21 SLR 8 Finalize and e-file reply in support of trust motion 0.50 130.0007/29/21 SLR 8 Confer with noticing agent re service of reply briefs 0.30 78.0007/29/21 RCW 8 Review and edit discovery responses 0.50 245.00

42

Date Professional Task Narrative Hours Amount 07/29/21 RCW 8 Edit and file reply in support of questionnaire 1.00 490.00motion 07/29/21 RCW 8 Confer with client, co-counsel, GS Cassada, and K 1.10 539.00Crandall re case tasks 07/29/21 GSC 8 Review and edit responses to ACC/FCR discovery 1.20 792.00re discovery motions 07/29/21 GSC 8 Participation in weekly work-in-process conference 1.10 726.0007/29/21 GSC 8 Further work on reply to objections to trust 2.30 1,518.00discovery motion including conferring with KR Crandall 07/29/21 SLR 8 Series of calls with KR Crandall s re case filings 0.20 52.0007/30/21 DLB 8 Confer with S Riggins re PIQ hearing matters 0.10 33.0007/30/21 GSC 8 Meet and confer session follow-up with co-counsel 0.60 396.0007/30/21 GSC 8 Review and analysis of ACC/FCR discovery 0.40 264.00responses 07/30/21 GSC 8 Preparation for depositions 1.30 858.00 07/30/21 SLR 8 Confer with DL Bostian re PIQ hearing matters 0.10 26.0007/31/21 GSC 8 Preparation for DCPF/Manville depositions 4.60 3,036.00 8 Total: 58,334.50 Total Fees: $ 73,284.50 Summary of Professional Services Professional Hours Rate Amount Jake Raynor 0.30 210.00 63.00 Tamara Redi 1.50 260.00 390.00 Satyra Riggins 20.70 260.00 5,382.00 Timothy Misner 2.90 275.00 797.50 Preetha Rini 0.70 310.00 217.00 Kevin Crandall 48.10 330.00 15,873.00 Demi Bostian 12.60 330.00 4,158.00 Stuart Pratt 0.10 420.00 42.00 Richard Worf, Jr. 14.90 490.00 7,301.00 Andrew Tarr 2.60 530.00 1,378.00 David Schilli 7.80 575.00 4,485.00 Garland Cassada 50.30 660.00 33,198.00 162.50 $73,284.50 Total Current Billing: $ 73,284.50

43

EXHIBIT A-4

44

Robinson Bradshaw 101 North Tryon Street, Suite 1900 Charlotte, NC 28246 t: 704.377.2536 robinsonbradshaw.com Fed. Tax ID 56-0944079 Leslie Dallas DBMP LLC Invoice Date September 28, 2021 Law Department Invoice No. 670917 20 Moores Road Malvern, PA 19355 RE: Chapter 11 Case Client ID: 26969 Matter ID: 00011 Claim Number: SG-008044 Invoice Summary Total Professional Services This Invoice $ 73,241.50 Total Disbursements This Invoice $ 754.76 Total This Invoice $ 73,996.26 Outstanding Balance on Amounts Previously Billed Invoice Date Invoice Number Invoice Amount Payments/Credits Balance Due06/30/2021 667309 $39,092.30 $(35,212.05) $3,880.25 09/09/2021 670383 $73,284.50 $0.00 $73,284.50 09/09/2021 668899 $91,321.85 $(82,227.45) $9,094.40 Outstanding Balance $86,259.15 Total Now Due $ 160,255.41 Payment Options Check Make check payable to: Robinson Bradshaw 101 N. Tryon Street, Suite 1900 Charlotte, NC 28246 Charges due upon receipt of invoice Please reference invoice or client number on remittance

45

Robinson Bradshaw 101 North Tryon Street, Suite 1900 Charlotte, NC 28246 t: 704.377.2536 robinsonbradshaw.com Fed. Tax ID 56-0944079 Leslie Dallas DBMP LLC Invoice Date September 28, 2021 Law Department Invoice No. 670917 20 Moores Road Malvern, PA 19355 RE: Chapter 11 Case Client ID: 26969 Matter ID: 00011 Claim Number: SG-008044 or Professional Services Rendered Through August 31, 2021 Date Professional Task Narrative Hours Amount 08/02/21 TCR 1 Review, analyze and distribute court filings 0.20 52.0008/05/21 TCR 1 Review, analyze and distribute court filings 0.70 182.0008/09/21 TCR 1 Review, analyze and distribute court filings 0.90 234.0008/10/21 SLR 1 Finalize and e-file agenda for 8/12 hearing 0.20 52.0008/11/21 AWT 1 Review and comment on debtor's objection to ACC 0.40 212.00and FCR motion to continue discovery motions 08/12/21 TCR 1 Review, analyze and distribute court filings 3.10 806.0008/13/21 TCR 1 Review, analyze and distribute court filings 0.80 208.0008/16/21 TCR 1 Review, analyze and distribute court filings 1.00 260.0008/17/21 DMS 1 Revise correspondence to Mr. Walters re DBMP 0.90 517.50preliminary injunction decision; prepare worksheet re insurance run-off, operations and cash balances 08/23/21 TCR 1 Review, analyze and distribute court filings 0.60 156.0008/24/21 TCR 1 Review, analyze and distribute court filings 1.10 286.0008/24/21 SLR 1 Finalize and e-file notice or rescheduling 9/15 0.60 156.00hearing and updated master calendar re updated court deadlines 08/25/21 SLR 1 Finalize and e-file ordinary course professional 0.20 52.00declaration 08/26/21 AWT 1 Communicate with Mr. Gordon, Mr. Ellman, et al. re 0.10 53.00case strategy matters 08/27/21 SLR 1 Confer with co-counsel re returned mailings and 0.30 78.00conferring with notice agent on same 08/27/21 TCR 1 Review, analyze and distribute court filings 0.20 52.00 1 Total: 3,356.50

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Date Professional Task Narrative Hours Amount 08/06/21 DMS 11 Review, analyze, communicate with co-counsel 0.20 115.00and coordinate filing re periodic OCP report 08/06/21 AWT 11 Review and communicate with Jones Day re 0.20 106.00ordinary course professionals report 08/30/21 AWT 11 Review and comment on monthly status report 0.50 265.0008/30/21 SLR 11 Finalize and e-file monthly status report 0.20 52.0008/30/21 DMS 11 Review and analyze monthly status report 0.30 172.5011 Total: 710.50 08/03/21 DMS 12 Review and analyze email correspondence from 0.30 172.50Bankruptcy Court, debtor, ACC and FCR re proposed findings and conclusions for preliminary injunction motion and stay relief motion 08/10/21 GSC 12 Review and analysis of order declaring automatic 2.10 1,386.00stay applies and approving preliminary injunction including some time conferring with RC Worf 08/10/21 KRC 12 Review opinion re preliminary injunction and 0.60 198.00automatic stay 08/10/21 RCW 12 Review and analyze opinion on automatic stay and 1.20 588.00preliminary injunction 08/10/21 RCW 12 Confer with GS Cassada re opinion on automatic 0.40 196.00stay and preliminary injunction 08/10/21 RCW 12 Second conference with GS Cassada re opinion on 0.30 147.00automatic stay and preliminary injunction 08/11/21 DMS 12 Review and analyze opinion granting preliminary 1.40 805.00injunction and denying stay relief 08/12/21 DMS 12 Review and analyze court decision on preliminary 0.50 287.50injunction and impact on case strategy 08/12/21 RCW 12 Confer with DM Schilli re automatic 0.60 294.00stay/preliminary injunction opinion 08/17/21 JLR 12 Prepare deposition transcripts and exhibits for 0.20 42.00attorney review 08/23/21 DMS 12 Review and analyze complaint and related 0.40 230.00documents by ACC and FCR re substantive consolidation of debtor with CertainTeed LLC 08/23/21 GSC 12 Review of complaint for substantive consolidation 0.70 462.00and related motions filed by Committee 08/24/21 JLR 12 Prepare deposition transcript and exhibits for 0.20 42.00attorney review 08/25/21 DMS 12 Review and analyze recent WDNC decisions 0.40 230.00questioning divisive mergers under Texas law 08/25/21 DMS 12 Review, analyze and communicate with co-counsel 0.30 172.50re amicus briefing offer on trust transparency issues 08/26/21 JLR 12 Prepare synchronized transcripts and videos for 0.20 42.00attorney review

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Date Professional Task Narrative Hours Amount 08/24/21 DMS 15 Review, revise, communicate with co-counsel and 0.20 115.00coordinate filing re declaration of ordinary course professional 15 Total: 115.00 08/02/21 SLR 16 Work on June monthly fee statement 1.20 312.0008/11/21 SLR 16 Finalize and distribute monthly fee statement for 0.40 104.00June 2021 08/17/21 SLR 16 Work on July monthly fee statement 0.70 182.0016 Total: 598.00 08/10/21 DMS 7 Review, comment on, communicate with co- 0.20 115.00counsel and coordinate filing re August 12 omnibus hearing agenda 08/10/21 DMS 7 Communicate with GS Cassada re August 12 0.20 115.00omnibus hearing agenda issues 08/11/21 SLR 7 Confer re preparations for 8/12 hearing 0.40 104.0008/11/21 RCW 7 Confer with co-counsel and GS Cassada re 0.90 441.00hearing preparation 08/11/21 TCR 7 Conference with SL Riggins re logistics of hearing 0.80 208.00slides and hearing exhibits 08/12/21 KRC 7 Participate in status conference hearing 1.40 462.0008/12/21 SLR 7 Confer with court reporter re 8/12 hearing transcript 0.10 26.0008/12/21 RCW 7 Attend status hearing 1.40 686.00 08/12/21 GSC 7 Preparation for status conference 0.30 198.0008/12/21 GSC 7 Representation of Debtor sat status conference 1.40 924.0008/13/21 RCW 7 Appear at continued status conference 1.00 490.0008/13/21 GSC 7 Participation in continued status conference 1.00 660.0008/24/21 DMS 7 Review, revise, communicate with co-counsel and 0.20 115.00coordinate filing re notice of rescheduled September omnibus hearing 7 Total: 4,544.00 08/02/21 KRC 8 Confer with co-counsel and GS Cassada re case 1.00 330.00tasks 08/02/21 DMS 8 Review and analyze email correspondence from 0.40 230.00Bankruptcy Court and various parties re August omnibus hearing motions 08/02/21 KRC 8 Confer with RBH team re case tasks 0.10 33.0008/02/21 RCW 8 Confer with RBH team re case tasks 0.10 49.0008/02/21 DLB 8 Confer with RBH team re matter development 0.10 33.0008/02/21 KRC 8 Work on tasks related to Trust discovery 0.40 132.0008/02/21 SLR 8 Work on logistics for 8/9 depositions 0.50 130.0008/02/21 SLR 8 Participate in RBH team meeting re case status 0.10 26.00

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Date Professional Task Narrative Hours Amount 08/02/21 GSC 8 Correspondence with co-counsel re ACC request 0.40 264.00to continue hearings on discovery motions 08/03/21 GSC 8 Confer with KR Crandall re tasks related to Trust 0.30 198.00discovery motion and other case tasks 08/03/21 GSC 8 Participation in case status and planning 0.80 528.00conference 08/03/21 GSC 8 Estimation discovery conference with DBMP, co- 1.00 660.00counsel and claims experts 08/03/21 KRC 8 Work on tasks related to Trust discovery motion 0.80 264.0008/03/21 KRC 8 Confer with client, co-counsel, GS Cassada, and 0.80 264.00RC Worf re case tasks 08/03/21 KRC 8 Confer with GS Cassada re tasks related to Trust 0.30 99.00discovery motion and other case tasks 08/03/21 KRC 8 Confer with expert, co-counsel, GS Cassada and 1.00 330.00RC Worf re case tasks 08/03/21 SLR 8 Work on deposition preparations 0.60 156.00 08/03/21 RCW 8 Confer with client, co-counsel, experts, and GS 1.00 490.00Cassada re case tasks 08/03/21 RCW 8 Confer with client, co-counsel, and GS Cassada re 0.80 392.00case tasks 08/04/21 SLR 8 Review and revise deposition notices 0.20 52.0008/04/21 KRC 8 Confer with GS Cassada re preparation for hearing 1.30 429.00on Trust discovery motion 08/04/21 KRC 8 Confer with vendor, co-counsel, and GS Cassada 1.60 528.00re Trust discovery motion 08/04/21 GSC 8 Work on outline for trust discovery argument 0.90 594.0008/04/21 GSC 8 Conference with K Crandall co-counsel re trust 1.60 1,056.00discovery hearing prep 08/04/21 GSC 8 Preparation and planning for DCPF/Manville Trust 0.40 264.00Depositions 08/04/21 GSC 8 Conference with KR Crandall re preparation of 1.30 858.00materials for trust discovery argument 08/04/21 GSC 8 Review and analysis of documents re trust 0.30 198.00discovery 08/04/21 KRC 8 Work on tasks related to Trust discovery motion 0.60 198.0008/05/21 KRC 8 Work on tasks related to Trust discovery motion 0.30 99.0008/05/21 SLR 8 Work on preparations for 8/16 rescheduled 0.20 52.00depositions 08/05/21 GSC 8 Preparation of revised notices of deposition of 0.20 132.00DCPF/Manville trust declarants 08/05/21 GSC 8 Review and analysis of draft power point slides for 0.50 330.00presentation 08/08/21 GSC 8 Preparation for depositions re trust discovery 2.70 1,782.0008/09/21 SLR 8 Conference with RBH team re case status and 0.10 26.00upcoming projects

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Date Professional Task Narrative Hours Amount 08/09/21 GSC 8 Conference with RBH team re status of and 0.10 66.00planning for projects 08/09/21 GSC 8 Preparation for depositions 0.70 462.00 08/10/21 RCW 8 Confer with client, co-counsel, and GS Cassada re 1.00 490.00case tasks 08/10/21 DLB 8 Email correspondence from R Worf re matter 0.10 33.00development 08/10/21 KRC 8 Confer with client, co-counsel, GS Cassada, and 1.00 330.00RC Worf re case tasks 08/10/21 GSC 8 Participation in case planning and strategy 1.00 660.00conference with DBMP and co-counsel 08/10/21 GSC 8 Correspondence with trust counsel re trust 0.30 198.00discovery hearing 08/11/21 SLR 8 Plan and prepare for 8/16 depositions 0.20 52.0008/11/21 KRC 8 Prepare for upcoming depositions of DCPF and 0.50 165.00Manville Trust witnesses 08/11/21 GSC 8 Review and analysis of DCPF and ACC/FCR 0.70 462.00responses to discovery requests 08/11/21 DMS 8 Review, revise, communicate with co-counsel and 2.60 1,495.00coordinate filing re debtor's response to ACC's motion to continue hearings on discovery motions 08/11/21 GSC 8 Participation in meet and confer with counsel for 0.60 396.00FCR and ACC re discovery/estimation plan post-PI ruling 08/11/21 SLR 8 Finalize and e-file objection to motion to continue 0.40 104.00hearing on estimation discovery motions 08/11/21 RCW 8 Participate in meet and confer re scheduling with 0.60 294.00opposing counsel, co-counsel, and GS Cassada 08/11/21 RCW 8 Review and edit response on motion to continue 0.30 147.00discovery motions 08/11/21 GSC 8 Review and provide input re DBMP's response to 0.40 264.00ACC motion to continue hearings on discovery motions 08/12/21 KRC 8 Prepare for upcoming depositions of DCPF and 0.30 99.00Manville witnesses 08/12/21 KRC 8 Confer with GS Cassada re deposition of DCPF 0.40 132.00and Manville witnesses 08/12/21 SLR 8 Work on deposition exhibit logistics 1.20 312.0008/12/21 KRC 8 Confer with co-counsel re upcoming deposition 0.90 297.00preparations 08/12/21 RCW 8 Confer with client, co-counsel, and GS Cassada re 0.60 294.00status hearing 08/12/21 GSC 8 Correspondence with DBMP and co-counsel re 0.60 396.00scheduling of hearings and response dates 08/12/21 GSC 8 Preparation for DCPF/Manville Trust depositions re 2.40 1,584.00trust discovery motion

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Date Professional Task Narrative Hours Amount 08/12/21 GSC 8 Preparation for DCPF/Manville Trust depositions re 0.70 462.00trust discovery motions 08/13/21 GSC 8 Participation in meet and confer with 0.80 528.00DCPF/Manville Trust counsel and K Crandall 08/13/21 GSC 8 Meet and confer follow-up with K Crandall 0.30 198.0008/13/21 RCW 8 Confer with co-counsel and GS Cassada re 0.30 147.00hearing 08/13/21 RCW 8 Meet and confer with opposing counsel, co- 0.30 147.00counsel, and GS Cassada re schedule 08/13/21 KRC 8 Prepare for upcoming depositions of DCPF and 0.50 165.00Manville Trust witnesses 08/13/21 SLR 8 Prepare deposition exhibits for 8/16 depositions 0.20 52.0008/13/21 KRC 8 Confer with GS Cassada re upcoming depositions 0.20 66.0008/13/21 KRC 8 Participate in meet and confer with DCPF and 0.60 198.00Manville Trust counsel 08/13/21 SLR 8 Continue to prepare for 8/16 depositions 0.40 104.0008/13/21 GSC 8 Prep for depositions 1.50 990.00 08/15/21 GSC 8 Preparation for Trust depositions 5.50 3,630.0008/16/21 KRC 8 Work on tasks for deposition of DCPF and Manville 2.00 660.00Trust witnesses 08/16/21 SLR 8 Assist with final deposition preparations for 8/16 0.50 130.00depositions 08/16/21 KRC 8 Attend depositions of DCPF and Manville Trust 8.70 2,871.00witnesses 08/16/21 GSC 8 Preparation for Trust depositions 1.10 726.0008/16/21 GSC 8 Representation of Debtor at Trust depositions 8.20 5,412.0008/16/21 GSC 8 Conference with co-counsel re Trust depositions 0.40 264.0008/16/21 RCW 8 Confer with co-counsel and experts re case tasks 0.30 147.0008/17/21 RCW 8 Confer with GS Cassada re estimation and 0.20 98.00discovery matters 08/17/21 KRC 8 Work on tasks related to Rule 2004 discovery 0.20 66.00motions 08/17/21 KRC 8 Confer with client, co-counsel, and GS Cassada re 0.80 264.00case tasks 08/17/21 GSC 8 Preparation of notes re Trust depositions 0.60 396.0008/17/21 GSC 8 Participation in weekly work-in-process conference 0.50 330.00with DBMP and co-counsel 08/18/21 GSC 8 Correspondence to DCPF counsel re 0.50 330.00Winner/Gorelick depositions 08/20/21 KRC 8 Review correspondence related to Trust discovery 0.10 33.00motion 08/20/21 GSC 8 Correspondence to DCPF/Manville Trust counsel 0.50 330.00challenging deposition confidentiality designations 08/20/21 GSC 8 Conference with DBMP and co-counsel re 1.40 924.00

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Date Professional Task Narrative Hours Amount 08/20/21 RCW 8 Prepare for call with client, co-counsel, and GS 0.20 98.00Cassada re estimation issue 08/20/21 RCW 8 Confer with client, co-counsel, and GS Cassada re 1.50 735.00estimation issue 08/23/21 RCW 8 Confer with co-counsel, experts, and GS Cassada 0.40 196.00re case tasks 08/23/21 RCW 8 Prepare for call with client re estimation issue 0.60 294.0008/23/21 RCW 8 Confer with client, co-counsel, and GS Cassada re 0.60 294.00estimation issue 08/23/21 GSC 8 Conference with DBMP and co-counsel re 1.10 726.00Committee request for Rule 502(b) agreement re exemplar cases 08/23/21 GSC 8 Preparation of correspondence to Committee 0.50 330.00counsel responding to Rule 502(b) request 08/23/21 GSC 8 Conference with co-counsel and claims expert re 0.40 264.00estimation update and planning 08/23/21 GSC 8 Further work on response to Committee request for 0.70 462.00Rule 502(b) agreement 08/24/21 GSC 8 Correspondence to counsel for ACC and FCR re 0.80 528.00potential for a Rule 502(d) agreement related to production of case files 08/24/21 GSC 8 Participation in regular work-in-process conference 1.00 660.0008/24/21 RCW 8 Confer with client, co-counsel, and GS Cassada re 1.00 490.00case tasks 08/24/21 RCW 8 Prepare for expert witness deposition 1.60 784.0008/24/21 RCW 8 Review ACC/FCR filings re restructuring 0.10 49.0008/24/21 SLR 8 Download and prepare court filings for attorney 0.80 208.00review 08/25/21 SLR 8 Prepare files for attorney review 0.90 234.0008/25/21 SLR 8 Prepare deposition video files for attorney review 0.40 104.0008/25/21 RCW 8 Confer with expert, co-counsel, and GS Cassada 2.10 1,029.00re deposition 08/25/21 RCW 8 Review filings re restructuring 0.60 294.00 08/25/21 GSC 8 Preparation for deposition re estimation motion 2.10 1,386.0008/26/21 SLR 8 Prepare logistics for Bates deposoition 0.30 78.0008/26/21 KRC 8 Confer with expert and GS Cassada re upcoming 0.10 33.00deposition 08/26/21 GSC 8 Conference with DBMP and co-counsel re plan for 1.20 792.00response to ACC/FCR litigation assault 08/26/21 GSC 8 Conference with Bates White re deposition prep 0.60 396.0008/26/21 RCW 8 Prepare for call with client re filings re restructuring 0.50 245.0008/26/21 RCW 8 Confer with client, co-counsel, and GS Cassada re 1.20 588.00restructuring-related filings 08/27/21 SLR 8 Prepare recent filings for attorney review and 0.80 208.00

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Date Professional Task Narrative Hours Amount 08/27/21 GSC 8 Review and analysis of motion to compel 0.50 330.00production Bates White's work product from non- DBMP engagement 08/27/21 GSC 8 Preparation for Bates Deposition 2.50 1,650.0008/27/21 GSC 8 Representation of Debtor re Bates Deposition 4.60 3,036.0008/27/21 RCW 8 Confer with GS Cassada re expert deposition 0.10 49.0008/27/21 RCW 8 Assist in defending expert deposition 4.60 2,254.0008/27/21 KRC 8 Work on tasks related to expert deposition 0.10 33.0008/27/21 SLR 8 Assist with final preparations for Bates deposition 0.30 78.0008/30/21 RCW 8 Confer with GS Cassada, K Crandall, DL Bostian, 0.10 49.00PS Rini, T Misner, and SL Riggins re case tasks 8 Total: 58,623.00 Total Fees: $ 73,241.50 Summary of Professional Services Professional Hours Rate Amount Jake Raynor 0.60 210.00 126.00 Tamara Redi 9.40 260.00 2,444.00 Satyra Riggins 12.40 260.00 3,224.00 Kevin Crandall 26.70 330.00 8,811.00 Demi Bostian 0.20 330.00 66.00 Richard Worf, Jr. 26.50 490.00 12,985.00 Andrew Tarr 1.20 530.00 636.00 David Schilli 8.50 575.00 4,887.50 Garland Cassada 60.70 660.00 40,062.00 146.20 $73,241.50 Disbursements Through August 31, 2021 Date Description Amount Black and White Copies 36.33 07/21/21 Binding 6.00 07/21/21 Binding 4.00 07/29/21 Pacer Database Search 74.60 08/12/21 Vendor: Soundpath Conferencing; Invoice#: 7043772536-081221; Date: 12.058/12/2021 08/12/21 Vendor: Soundpath Conferencing; Invoice#: 7043772536-081221; Date: 7.078/12/2021 08/12/21 Vendor: Soundpath Conferencing; Invoice#: 7043772536-081221; Date: 11.398/12/2021 08/12/21 Vendor: Soundpath Conferencing; Invoice#: 7043772536-081221; Date: 5.008/12/2021 08/12/21 Vendor: Soundpath Conferencing; Invoice#: 7043772536-081221; Date: 0.86

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Disbursements Through August 31, 2021 Date Description Amount 08/17/21 Vendor: Janice Russell Transcripts; Invoice#: 21-113; Date: 8/16/2021 305.5508/24/21 Vendor: Federal Express Corporation; Invoice#: 7-477-87687; Date: 38.118/24/2021 08/31/21 Pacer Database Search 253.80 Total Disbursements: $ 754.76 Total Current Billing: $ 73,996.26

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EXHIBIT B May 1, 2021 – August 31, 2021 CUMULATIVE COMPENSATION SUMMARY BY PROJECT CATEGORY Total Hours Total Fees Billed Total Fees Billed Project Category Billed for Time For The Period From The Period Petition Date Case Administration/Bus. Op. (1) 39.4 $14,720.50 $99,365.50 Automatic Stay (3) -0- -0- $2,042.50 Plan of Reorganization (4) 8.9 $5,061.00 $8,491.00 Court Hearings (7) 21.8 $11,367.00 $122,524.00 Asbestos Matters (8) 475.5 $220,348.50 $529,491.50 Reporting (11) 5.9 $2,866.00 $24,424.00 Litigation and Adv. Procs. (12) 18.1 $10,191.00 $121,93900 Prof. Ret. And Fee Issues (15) 16.8 $7,383.00 $23,974.50 Fee Appl. Preparation (16) 13.4 $4,295.50 $39,761.50 Nonworking Travel (17) -0- -0- $4,124.00 Creditor’s Inquiries (18) -0- -0- $924.00 Total 599.8 $276,232.50 $977,061.50

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EXHIBIT C CUMULATIVE EXPENSE SUMMARY Total Expenses Total Expenses Expense Category For the Period From the Petition Date Consulting Experts -0 -0- In-house duplicating ($.10/page) $36.33 $3,740.43 In-house duplicating (color) ($.25/page) -0- $80.50 Postage -0- -0- Misc. Expenses $1,351.60 $10,234.90 Overnight Delivery $38.11 $62.22 Telephone expense – Long $36.37 $92.63 Distance/Teleconferencing Travel -0- $582.20 Working Meals -0- $129.67 U.S. Bankruptcy Court Filing Fees -0- $5,483.00 Total $1,462.41 $20,405.55

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EXHIBIT D SUMMARY OF PRIOR FEE APPLICATIONS Application Period Fees Expenses Date Covered Requested/Allowed Requested/Allowed June 26, 2020 January 23, 2020 through April 30, 2020 $165,273.00 $10,976.66 October 16, 2020 May 1, 2020 through August 31, 2020 $192,004.00 $1,395.25 February 18, 2021 September 1, 2020 through December 31, 2020 $110,079.50 $2,214.80 June 24, 2021 January 1, 2021 through April 30, 2021 $233,472.50 $4,356.43

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EXHIBIT E PROFESSIONALS/PARAPROFESSIONALS INCLUDED IN THIS APPLICATION May 1, 2021 – August 31, 2021 BAR TOTAL HOURS NAME TITLE BILLING RATE AMOUNT BILLED ADMISSION BILLED Garland Cassada (GSC) shareholder 1984 $640.00/hr 181.7 $119,922.00 David Schilli (DMS) shareholder 1991 $555.00/hr 31 $17,825.00 Andrew W.J Tarr (AWT) shareholder 2003 $510.00/hr 7.6 $4,028.00 Richard C. Worf (RCW) shareholder 2007 $470.00/hr 90.3 $44,247.00 Stuart L. Pratt (SLP) shareholder 2011 $400.00/hr 3 $1,260.00 Demi Bostian (DLB) associate 2017 $330.00/hr 49.4 $16,306.00 Kevin Crandall (KRC) associate 2016 $315.00/hr 154.2 $50,886.00 Preetha Rini (PSR) associate 2016 $310.00/hr 7.8 $2,418.00 Timothy Misner (TPM) associate 2020 $275.00/hr 2.9 $797.50 Satyra Riggins (SLR) paralegal n/a $240.00/hr 52.2 $13,572.00 Tami Redi (TCR) paralegal n/a $245.00/hr 17.2 $4,472.00 Jake Raynor (JR) lit support n/a $200.00/hr 1.2 $252.00 Walter Short (WAS) librarian n/a $190.00/hr 1.3 $247.00 TOTAL 599.8 $276,232.50

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UNITED STATES BANKRUPTCY COURT WESTERN DISTRICT OF NORTH CAROLINA CHARLOTTE DIVISION In re Chapter 11 DBMP LLC,1 Case No. 20-30080 (JCW) Debtor. ORDER GRANTING FIFTH INTERIM APPLICATION OF ROBINSON, BRADSHAW & HINSON, P.A. FOR ALLOWANCE OF COMPENSATION AND REIMBURSEMENTOF EXPENSES FOR PROFESSIONAL SERVICES RENDERED AS SPECIAL COUNSEL FOR ASBESTOS CLAIMS ESTIMATION MATTERS AND LOCAL BANKRUPTCY COUNSEL FOR THE DEBTOR FOR THE PERIOD FROM MAY 1, 2021 THROUGH AUGUST 31, 2021 This matter came before the Court on the Fifth Interim Application of Robinson, Bradshaw & Hinson, P.A. for Allowance of Compensation and Reimbursement of Expenses for Professional Services Rendered as Special Counsel for Asbestos Claims Estimation Matters and Local Bankruptcy Counsel for the Debtor for the Period from May 1, 2021 through August 31, 2021 filed on October ---, 2021 (the “Fifth Interim Fee Application”) (DE ---). It appears to the Court as follows: 1 The last four digits of the Debtor’s taxpayer identification number are 8817. The Debtor’s address is 20 Moores Road, Malvern, Pennsylvania 19355.

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1. The Fifth Interim Fee Application, together with the Notice of Opportunity for Hearing (the “Notice”), was served upon the parties required by Local Bankruptcy Rule 2002-1(g) and the Order Establishing Procedures for Interim Compensation and Reimbursement of Expenses of Retained Professionals entered on February 13, 2020 (the “Compensation Order”). The Court finds that the notice and opportunity for hearing is proper and adequate and that no other or further notice if necessary. 2. Robinson, Bradshaw & Hinson, P.A. (“RBH”) rendered valuable services to the Debtor’s estate during Chapter 11 proceedings as Special Counsel for Asbestos Claims Estimation Matters and Local Bankruptcy Counsel from May 1, 2021 through August 31, 2021. 3. RBH incurred reasonable costs and expenses on behalf of the Debtor from May 1, 2021 through August 31, 2021. 4. The amounts requested by RBH are fair and reasonable given (a) the complexity of the 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. 5. Thus, RBH is entitled to interim approval of fees of 276,232.50, which such fees were incurred for reasonable, actual and necessary professional services rendered by RBH on the behalf of the Debtor during the Interim Period. 6. RBH is entitled to interim reimbursement of expenses incurred during the Interim Period of $1,462.41, which such expenses are reasonable, actual and necessary.

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Based upon the foregoing and for good cause shown, it is therefore ORDERED that: A. The Fifth Interim Fee Application is GRANTED, and RBH is allowed compensation and reimbursement of expenses for the Interim Period in the amounts set forth above. B. RBH is hereby allowed and awarded, and the Debtor is authorized and directed to pay RBH, professional fees in the amount of $276,232.50 and expenses in the amount of $1,462.41 for a total of $277,694.91 on an interim basis including (a) all amounts already paid to RBH for the Interim Period pursuant to the Compensation Order and RBH’s monthly requests during the Interim Period, and (b) the 10% portion of RBH’s fees which were held back during the Interim Period pursuant to the Compensation Order and 11 U.S.C. § 331. This Order has been signed United States Bankruptcy Court electronically. The judge’s signature and court’s seal appear at the top of the Order.

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