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RON BENDER (SBN 143364)
TODD M. ARNOLD (SBN 221868)
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
10250 Constellation Boulevard, Suite 1700
Los Angeles, California 90067
Telephone: (310) 229-1234; Facsimile: (310) 229-1244
Email: rb@LNBYB.com; tma@LNBYB.com

Attorneys for Chapter 11 Debtors
and Debtors in Possession

UNITED STATES BANKRUPTCY COURT
CENTRAL DISTRICT OF CALIFORNIA
(SANTA ANA DIVISION)

In re:

WESTCLIFF MEDICAL
LABORATORIES, INC.,

Debtor.
____________________________

BIOLABS, INC.,

Debtor.
____________________________

Affects Both Debtors

Affects WESTCLIFF MEDICAL
LABORATORIES, INC. only

Affects BIOLABS, INC. only


Lead Case No. 8:10-bk-16743-TA
Jointly Administered with Case
No. 8:10-bk-16746-TA
Chapter 11 Cases

FOURTH INTERIM APPLICATION OF
LEVENE, NEALE, BENDER, YOO &
BRILL L.L.P. FOR APPROVAL OF FEES
AND REIMBURSEMENT OF EXPENSES;
DECLARATION OF RON BENDER, ESQ.


Court Scheduled Hearing:
Date: December 22, 2011
Time: 10:00 a.m.
Place: Courtroom 5B
411 West Fourth Street
Santa Ana, CA 92701-4593

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TO THE HONORABLE THEODOR C. ALBERT, UNITED STATES BANKRUPTCY
JUDGE:
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P. (LNBYB),
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bankruptcy counsel to Westcliff Medical Laboratories, Inc.
(Westcliff) and BioLabs, Inc. (BioLabs), the Chapter 11
debtors and debtors in possession herein (collectively, the
Debtors), hereby submits its Fourth Interim Application for
Approval of Fees and Reimbursement of Expenses (the
Application) for services rendered and expenses incurred during
the pendency of these Chapter 11 bankruptcy case, for the period
of June 1, 2011 through November 30, 2011 (the "Covered Period").
I.
FEES AND EXPENSES INCURRED AND NOTICE
A. Request For Allowance and Payment of Fees and
Reimbursement of Expenses.
During the Covered Period of June 1, 2011 through November
30, 2011, LNBYB incurred fees in the amount of $151,554 and
expenses in the amount of $12,376.34
2
for total fees and expenses

1
On the date of the filing of the Debtors Chapter 11 cases, the name
of the firm was Levene, Neale, Bender, Rankin & Brill L.L.P. The firm
changed its name to Levene, Neale, Bender, Yoo & Brill L.L.P.
effective on July 1, 2010.
2
As LNBYB explained in its prior interim fee applications, there is
frequently some lag time between the date when expenses are incurred
by LNBYB and the date such expenses are recorded into LNBYB's billing
system. It is therefore possible that LNBYB has incurred additional
expenses during the Covered Period which are not included in this
Application. If that is the case, LNBYB will include such additional
expenses in connection with a future fee application.
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in the amount of $163,930.34. LNBYB therefore seeks Court
approval of $163,930.34 of fees and expenses incurred during the
Covered Period, and LNBYB seeks Court authority for the Debtors
to pay this amount to LNBYB.
B. Proper Notice.
Pursuant to Federal Rule of Bankruptcy Procedure 2002(a)(6)
and a prior limiting notice order entered by the Court, LNBYB has
served notice of this Application and the amount of fees and
expenses sought herein (as well as the fees and expenses
requested by all of the professionals employed in these cases)
upon the Office of the United States Trustee (the OUST), the
Official Committee of Unsecured Creditors (the "Committee"), and
all parties who have requested special notice.
II.
BRIEF NARRATIVE HISTORY OF THE PRESENT POSTURE OF THE DEBTORS
CHAPTER 11 CASES, CIRCUMSTANCES THAT LED TO THE FILING OF THE
DEBTORS CHAPTER 11 CASES, AND SIGNIFICANT EVENTS WHICH OCCURRED
DURING THE COVERED PERIOD
A. Description and History of the Debtors Business, Case
Background and Necessity for Filing Chapter 11.
The Debtors commenced their bankruptcy cases by filing
voluntary petitions under Chapter 11 of 11 U.S.C. 101 et seq.
(the Bankruptcy Code) on May 19, 2010 (the Petition Date).


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The Debtors continue to operate their business, manage their
financial affairs, and operate their bankruptcy estates as
debtors in possession pursuant to sections 1107 and 1108 of the
Bankruptcy Code.
With the approval of the Court, Matthew Pakkala of FTI
Consulting, Inc. has served as the Debtors Chief Restructuring
Officer (CRO) during the pendency of the Debtors Chapter 11
cases. An Official Committee of Unsecured Creditors (the
Committee) was formed shortly after the Petition Date comprised
of seven members.
BioLabs is the parent company to Westcliff, which is the
operating company. The only material asset owned by BioLabs is
its stock interest in the Debtor. Biolabs was organized for the
purposes of acquiring 100% of the capital stock and other equity
interests of Westcliff.
Westcliff was founded in 1964 as a community-based
laboratory and was headquartered in Santa Ana, California.
Westcliff was the operator of approximately 170 branded, stand-
alone, patient service center laboratories and STAT labs that
provide various services, including clinical testing, pathology,
reporting and support services for the benefit of thousands of
out-patients throughout California. The Debtors had nearly 1,000
employees.
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The Debtors main clinical hub was an 80,000 square foot
facility located in Santa Ana, California that opened in 2006.
The Debtors primary anatomical pathology lab was a 12,800 square
foot facility located in Monrovia, California that opened in
2008.
Working directly with patients and with contracted payors,
including United Health, Aetna, Cigna, Blue Cross, Medi-Cal and
Medicare, Westcliff grew and became a leading out-patient
laboratory service company. Westcliffs lab operations
demonstrated industry-leading results, with low testing turn-
around times, high quality control scores, and a strong and
experienced sales and marketing team.
Westcliff averaged approximately 8,500 clinical requests per
day and approximately 1,200 pathology requests per day, and
performed approximately 250,000 cytology and 70,000 biopsy tests
on an annual basis. Based on this performance, the Debtors had
approximately $97 million in net revenue in 2009 and were the
third largest clinical laboratory in California.
The California clinical laboratory testing market is the
largest in the nation, with estimated revenues of approximately
$2 billion. Approximately 8% of the nations tests are performed
in California, and over 200 million of Californias tests are
conducted by independent labs (excluding hospital based labs).
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The Debtors business accounted for approximately 5% of the
California market.
Much of the Debtors growth came from the acquisition of
other labs, which caused the Debtors to incur a substantial
amount of debt. The Debtors owed approximately $56 million (the
Senior Debt) to a group of lenders (the Senior Lenders) for
whom GE Business Financial Services, Inc. acts as agent (in such
capacity, the Senior Loan Agent). The Senior Debt was secured
by a first priority security interest and lien against all or
substantially all of the Debtors assets. Any other secured debt
of the Debtors was relatively small in nature and related to
liens against only certain of the Debtors equipment. The
Debtors also have a substantial amount of unsecured debt.
While the Debtors revenue was significant, due to the small
profit margins in this business, despite substantial and
continuing cost cutting measures undertaken by the Debtors, the
Debtors were simply not able to operate sufficiently profitably
to enable the Debtors to repay their debts.
The Debtors suffered a net loss of approximately $87 million
in 2008 (including expenses and write offs of approximately $171
million) on net revenue of approximately $84 million. The
Debtors suffered a net loss of approximately $13 million in 2009
(including expenses and write offs of approximately $110 million)
on net revenue of approximately $97 million.
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While the Debtors instituted as many expense reductions as
were reasonably possible, the Debtors losses continued. Since
the beginning of 2009, the Debtors were unable to make any debt
service payments to the Senior Lenders, and the Debtors were
unable to remain current with their other debt obligations,
including payments owing to former owners of companies the
Debtors previously purchased as part of the Debtors overall
growth strategy. Indeed, the Debtors were only able to survive
financially since the beginning of 2009 because the Senior Loan
Agent provided the Debtors with emergency funding to cover
payroll and other vital expenses.
The only way the Debtors could have survived as a stand
alone going concern business would have been for the Debtors to
raise many millions of dollars of additional equity which was not
possible given the Debtors extensive debt structure.
It therefore became clear to the Debtors in early 2009 that
the only viable option available to the Debtors to avoid a shut
down of their business and the loss of employment by all of the
Debtors employees would be for the Debtors to sell their
business as a going concern to the highest bidder. The Debtors
therefore engaged in an active sale process commencing in early,
2009.
To assist the Debtors with this sale process, the Debtors
engaged MTS Health Partners, LP (MTS) in October, 2009 as a
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financial advisor to assist the Debtors with their sale process.
3

MTS, working closely with the Debtors, conducted an exhaustive
sale process, having prepared detailed sale materials and having
had extensive discussions and interactions with numerous
prospective buyers, both strategic buyers and financial buyers.
After having engaged in substantial due diligence and
negotiations with a number of different prospective buyers over
many months, MTS and the Debtors collectively concluded that
LabCorp was the optimal buyer of the Debtors assets for three
primary reasons. First, LabCorp, which is in the same business
as Westcliff but is a much larger company, expressed the greatest
interest in purchasing the Debtors assets. Second, it was clear
that LabCorp as a strategic buyer was willing to pay a
substantially higher price for the Debtors assets than any other
prospective buyer. Third, LabCorp clearly had the financial
means to consummate its purchase of the Debtors assets.
The Debtors engaged in extensive negotiations with LabCorp
prior to the Petition Date over the details of an asset sale and
the terms of a written asset purchase agreement (the APA) and
related documents. Shortly prior to the Petition Date, the
Debtors and LabCorp executed the APA and related documents. The
Debtors bankruptcy cases were commenced to enable the Debtors to

3
The Debtors had used other professionals for this same purpose in the
past.

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consummate their asset sale to LabCorp, as obtaining a bankruptcy
free and clear sale order was a fundamental deal point for
LabCorp.
B. The Present Status of the Debtors Chapter 11 Cases.
LabCorps purchase price was $57.5 million subject to
certain adjustments, while leaving with the Debtors, among other
things, all of the Debtors accounts receivable (which the
Debtors estimated would result in an additional net recovery of
approximately $8,000,000 for the Debtors estates) and all of the
Debtors cash. The APA provided that the purchase price would be
adjusted downward if there was a meaningful reduction in
Westcliffs post-petition business volume pending the closing of
the sale and if that reduction became too large LabCorp had the
ability to walk away from this transaction completely.
The possibility of the Debtors suffering a reduction in
revenue as a result of their bankruptcy filings in this very
competitive industry and the resulting negative impact on the
purchase price to be paid by LabCorp, or, worse, a complete walk
away by LabCorp, is the reason why it was so critical that this
sale transaction occur on a very expedited basis.
The Debtors also agreed with LabCorp that in connection with
the sale closing, the Debtors would be required to enter into a
Transition Agreement with LabCorp. The purpose of the Transition
Agreement was to facilitate as smooth a transition of the
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Debtors business and their employees to LabCorp as possible
under the circumstances at no additional cost to the Debtors
estates.
To make absolutely certain that the highest price possible
was paid for the Debtors assets, the Debtors and LabCorp agreed
to various overbid procedures which were approved by the Court.
As the Debtors and MTS expected (given the extensive pre-petition
marketing effort which was undertaken by MTS), no overbid was
submitted.
The Debtors requested and urged the Court to approve the
Debtors asset sale to LabCorp on a very expedited basis because
of the severe risk of a deterioration of Westcliffs business
resulting from the Debtors bankruptcy filings. This is a highly
sensitive and extremely competitive industry, and the Debtors
were extremely concerned that Westcliff would not be able to
retain its customer base for any extended period of time while
operating as a debtor in bankruptcy.
At the urging of the Debtors (with the full support of the
Committee and the Senior Lenders), the Court approved the
Debtors asset sale to LabCorp at a hearing held on June 3, 2010,
and the Court entered an order approving the sale on Wednesday,
June 9, 2010. Prior to the sale hearing, the Debtors, the
Committee and the Senior Lenders reached an agreement on an
allocation of the LabCorp purchase price and the balance of the
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Debtors assets (the Asset Allocation Agreement), which was
acceptable to all parties and which was subsequently approved by
the Court.
The LabCorp APA required LabCorp to consummate its purchase
of the Debtors assets within two days following entry of the
LabCorp sale order, which was Friday, June 11, 2010. However, at
some point prior to June 11, 2010, the Federal Trade Commission
(the FTC) contacted Labcorp and the Debtors to request
information related to the Debtors asset sale to LabCorp. The
Debtors did not believe that this inquiry made by the FTC
constituted a Proceeding as that term is defined in the LabCorp
APA that would have given LabCorp any legitimate basis to refuse
to close its purchase by Friday, June 11, 2010. Notwithstanding
the foregoing, as a result of the FTC situation, LabCorp did not
close its purchase of the Debtors assets as scheduled, and
LabCorp initially advised the Debtors that it is not willing to
close its purchase until the FTC situation was resolved.
Quest is the largest participant in the marketplace of the
Debtors' business (with significantly more market share than any
other party); LabCorp is the second largest participant in the
marketplace of the Debtors' business; and Westcliff was the third
largest participant in the marketplace of the Debtors' business.
The FTC told the Debtors that the FTC had concerns about whether
a sale to LabCorp would lessen competition. The FTC told the
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Debtors that the FTC would not have concerns if the Debtors sold
their assets to a buyer other than LabCorp or Quest. However,
the FTC told the Debtors that they recognize the Debtors' grave
financial predicament and dire financial need to consummate an
asset sale on a very expedited basis.
The FTC suggested that the Debtors and MTS formulate a sale
process to be conducted on a very expedited basis to see if there
were any buyers other than Quest or LabCorp who could consummate
a sale quickly and receive Bankruptcy Court approval of that sale
(which necessarily would have required the consent of the Senior
Lenders). The FTC approved the form of letter (the New Buyer
Solicitation Letter) to be sent to parties who previously
submitted a formal written indication of interest in purchasing
Westcliffs business or its assets. The FTC advised the Debtors
that if no party other than Quest or LabCorp could satisfy the
foregoing, the FTC would not challenge the Debtors sale to
LabCorp, which the Court had already approved, and the sale could
close immediately.
Given that LabCorp had indicated to the Debtors that it was
not going to close its purchase until the FTC situation was
resolved, the Debtors had no choice but to proceed as the FTC
suggested. The New Buyer Solicitation Letter provided that
prospective new buyers had until 5:00 p.m. Eastern Time on
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Thursday, June 17, 2010 to submit a written qualifying purchase
offer to the Debtors.
As requested by the FTC, MTS sent the New Buyer Solicitation
Letter to all parties who previously submitted a formal written
indication of interest in purchasing Westcliffs business or its
assets, and MTS (and the Debtors) facilitated due diligence with
all such prospective buyers who desired to conduct due diligence.
Given the extreme time exigencies in these cases, as the
LabCorp APA set an outside closing date of June 23, 2010 and in
any event the Debtors were on the brink of running out of money,
the Debtors requested the Court to schedule a hearing to be held
on Friday, June 18, 2010 to consider a sale of the Debtors
assets to an alternative buyer if LabCorp refused to close
without the consent of the FTC. The Court accommodated the
Debtors and scheduled a hearing on the Debtors second sale
motion to be held on Friday, June 18, 2010 at 2:00 p.m.
The Debtors advised the Court that the Debtors would not
know until the bid deadline of June 17, 2010 at 5:00 p.m. Eastern
Time passed whether any new bids would be made for the Debtors
assets and, if any new bids were made, the terms of those bids.
The Debtors made clear in their second sale motion that the
Debtors did not believe that they had the legal ability to sell
their assets to a new buyer unless the net sale proceeds enabled
the Debtors to pay the full approximately $56 million owing to
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the Senior Lenders or the Senior Lenders consented to that sale.
These were facts and legal standards that the FTC chose to
ignore.
On June 16, 2010, LabCorp elected to consummate its purchase
of the Debtors assets, which rendered the Debtors second sale
motion moot. The Debtors therefore withdraw their second sale
motion.
An important condition to the LabCorp APA was the ability of
the Debtors to obtain Court approval of a pre-bankruptcy
settlement the Debtors reached with various qui tam litigants.
The qui tam litigants asserted claims against the Debtors of
more than $56 million. Absent a negotiated settlement,
resolution of those litigation claims would have taken years,
which would have made it impossible for the Debtors to consummate
a going concern sale of their business. All other buyers would
have required the same closing condition because any buyer of the
Debtors business would have insisted on knowing that it had no
monetary liability to the qui tam claimants and no ongoing
reporting requirements to the State of California. It would
therefore not have been possible for the Debtors to have obtained
LabCorps agreement to enter into the APA had the Debtors not
been able to obtain a pre-bankruptcy settlement with the qui tam
claimants, and LabCorp would never have been willing to close its
purchase of the Debtors assets had the Court not approved the
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Debtors pre-bankruptcy settlement agreement with the qui tam
claimants. Fortunately, the Court approved the Debtors pre-
bankruptcy settlement agreement with the qui tam claimants,
pursuant to which the qui tam claimants were paid 10% of the net
sale proceeds (after a deduction for all transaction expenses).
Particularly given the expedited nature of this sale, both
the Debtors and the Senior Lenders recognized that it was very
important that the sale of the Debtors assets to LabCorp inure
to the benefit of all creditors. The Debtors, the Senior Lenders
and the Committee after it was formed therefore engaged in a
substantial amount of discussion and negotiation in order to
achieve this result.
While the Senior Lenders were owed approximately $56 milliom
secured by a first priority lien against the Debtors assets, the
Senior Lenders agreed to leave behind for the benefit of these
estates a substantial amount of money to be used to pay to other
creditors. This was accomplished through the Asset Allocation
Agreement reached between the Debtors, the Committee and the
Senior Lenders which is referenced above and which was approved
by the Court.
Since the closing of the Debtors asset sale to LabCorp, the
Debtors have distributed the sale proceeds in accordance with the
terms of the sale order and the Asset Allocation Agreement, and
the Debtors continued to operate in accordance with the terms of
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the Transition Agreement with LabCorp. The Debtors continued
with the wind down and liquidation of the Debtors' remaining
assets, including collecting the Debtors' outstanding accounts
receivable, which were not sold to LabCorp. The Debtors'
management team has done a masterful job in these efforts as all
financial results have come in well ahead of projections, which
is going to result in a very sizeable recovery for general
unsecured creditors.
The Debtors have now completed the wind down and liquidation
of the Debtors remaining assets and have completed the
collection of the Debtors outstanding accounts receivable.
Under the terms of the APA and the Transition Agreement, LabCorp
was provided with a period of time within which to determine
which of the Debtors executory contracts and unexpired leases
LabCorp wanted to have assigned to it. The FTC prevented LabCorp
from fully consummating its purchase of the Debtors assets,
which made it impossible for the Debtors business to be
integrated into LabCorps business and made it impossible for
LabCorp to be able to make a final decision as to which of the
Debtors executory contracts and unexpired leases LabCorp wanted
to have assigned to it. To be fair to LabCorp, the Debtors
consensually extended LabCorps decision deadline in this regard.
LabCorps dispute with the FTC recently came to an end, and
LabCorp recently made its final decision as to which of the
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Debtors executory contracts and unexpired leases LabCorp wanted
to have assigned to it.
C. Date of Entry of the Order Approving LNBYB's Employment
and Date Services Commenced.
On June 24, 2010, the Court entered its order approving the
Debtors employment of LNBYB as bankruptcy counsel effective as
of the date of the Debtors Chapter 11 bankruptcy filings.
D. Fees and Expenses Previously Requested.
At a hearing held on August 25, 2010, the Court awarded
LNBYB fees in the amount of $496,847.63 and expenses of
$64,240.59 for total fees and expenses in the amount of
$561,088.22 incurred during the period of May 19, 2010 through
July 31, 2010. At a hearing held on December 22, 2010, the Court
awarded LNBYB fees in the amount of $154,333.25 and expenses in
the amount of $13,350.49 for total fees and expenses in the
amount of $167,683.74 incurred during the period of August 1,
2010 through November 30, 2010. At a hearing held on June 29,
2011, the Court awarded LNBYB fees in the amount of $206,992.50
and expenses in the amount of $10,906.08 for total fees and
expenses in the amount of $217,898.58 incurred during the period
of December 1, 2010 through May 31, 2011. The Debtors have paid
these sums to LNBYB as LNBYB had no retainer balance remaining at
the time of the Debtors bankruptcy filings.

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E. Cash on Hand and Estimated Amount of Other Accrued and
Unpaid Expenses of Administration.
LNBYB understands that, as of September 30, 2011, the
Debtors had in their possession approximately $8.7 million of
unencumbered cash on hand. LNBYB and the other professionals
employed by the Debtors and Committee counsel seek to be paid
their allowed fees and expenses out of these funds.
F. Brief Narrative Statement of Services Rendered, Time
Expended, and Fees Charged for Each Billing Category.
When recording its time, LNBYB places all time entries for
fees into one of fourteen categories. These categories consist
of (1) Asset Analysis and Recovery, (2) Asset Disposition, (3)
Business Operations, (4) Case Administration, (5) Claims
Administration and Objections, (6) Employee Benefits/Pensions,
(7) Fee/Employment Applications, (8) Fee/Employment Objections,
(9) Financing, (10) Relief from Stay, (11) Meetings of Creditors,
(12) Plan and Disclosure Statement, (20) Other Litigation and
(99) Miscellaneous. Inevitably, certain time entries do not fit
neatly into any one category while other time entries cross over
into more than one category. LNBYB does its best to place time
entries into categories which accurately reflect the work
performed. However, it is inevitable that there will be some
time entries that have been placed into the incorrect category or
where various time entries dealing with the same subject matter
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have been placed into multiple categories. References below made
to the Covered Period shall mean the period of June 1, 2011
through November 30, 2011.
1. Asset Analysis and Recovery (01).
During the Covered Period, LNBYB billed 1.8 hours and
incurred $1,031 of fees in this category dealing with various
asset analysis and recovery issues.
2. Asset Disposition (02).
During the Covered Period, LNBYB billed 7.8 hours and
incurred $3,861 of fees in this category dealing with asset
disposition issues, dealing primarily with lease and contract
assumption, rejection and cure issues, and analyzing any
remaining assets of these estates.
3. Business Operations (03).
During the Covered Period, LNBYB billed 5 hours and incurred
$2,855 of fees in this category related to various business
operational issues.
4. Case Administration (04).
During the Covered Period, LNBYB billed 20.9 hours and
incurred $9,650.50 of fees in this category dealing with a
multitude of case administration matters. LNBYB prepared a
motion to extend the Debtors plan exclusivity periods. LNBYB
prepared the Debtors' case status report and has assisted the
Debtors with the preparation of their monthly operating reports.
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LNBYB appeared at the case status conference held on September
29, 2011.
5. Claims Administration and Objections (05).
During the Covered Period, LNBYB billed 119.8 hours and
incurred $56,891 of fees in this category. LNBYB worked closely
with the Debtors to analyze the hundreds of claims that were
filed in the Debtors cases. LNBYB prepared and filed objections
to numerous disputed claims. Where appropriate, LNBYB negotiated
and documented resolutions of disputed claims. LNBYB has made
great progress in this important area paving the way for the
estates to proceed with the filing and confirmation of a
liquidating plan. LNBYB appeared at a number of claims
objections hearings. LNBYB has continuously prepared and
maintained global claims charts for these cases for each of the
different priorities of claim, which are being used in connection
with the liquidating plan and disclosure statement.
6. Employee Benefits/Pensions (06).
During the Covered Period, LNBYB did not incur any fees in
this category.
7. Fee/Employment Applications (07).
During the Covered Period, LNBYB billed 31.4 hours and
incurred $16,273 of fees in this category dealing primarily with
various fee issues. LNBYB prepared the second interim fee
application for MTS as MTS did not have the experience or means
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of doing so. LNBYB assisted K&E to prepare its third interim fee
application for efficiency purposes as the K&E lawyers working on
the Debtors case are not familiar with the procedures in this
District. LNBYB prepared its third interim fee application and
the notice of all of the applications for all of the
professionals. LNBYB appeared at the third interim fee hearing
held on June 29, 2011. LNBYB prepared the fee order for all
professionals. LNBYB prepared the Debtors' motion to continue
its retention of Matthew Pakkala of FTI as the Debtors CRO.
LNBYB prepared this Application and the notice of this upcoming
fee hearing for all professionals. LNBYB prepared the final fee
application for MTS, and LNBYB assisted the Debtors special
litigation counsel, Callahan & Blaine, to prepare its fee
application.
8. Fee/Employment Objections (08).
During the Covered Period, LNBYB did not incur any fees in
this category.
9. Financing (09).
During the Covered Period, LNBYB did not incur any fees in
this category.
10. Relief from Stay (10).
During the Covered Period, LNBYB billed 6.4 hours and
incurred $2,998 of fees in this category dealing with various
automatic stay and relief from stay matters, including preparing
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stipulations resolving disputes.
11. Meetings of Creditors (11).
During the Covered Period, LNBYB did not incur any fees in
this category.
12. Plan and Disclosure Statement (12).
During the Covered Period, LNBYB billed 104.4 hours and
incurred $55,288 of fees in this category dealing with plan and
disclosure statement issues. LNBYB prepared the Debtors initial
liquidating plan of reorganization and disclosure statement and
the comprehensive claims charts that are attached as exhibits to
the disclosure statement. LNBYB worked closely with the two
parties that have taken an active interest in the plan process,
which are the Committee and one of the largest creditors known as
Specialty Laboratories, Inc. LNBYB appeared at the initial
disclosure statement hearing which was held on October 26, 2011.
At the request of the Committee, the Court continued that hearing
to November 30, 2011. LNBYB worked closely with the Committee
and with Specialty to modify the disclosure statement and plan of
reorganization to arrive at fully consensual versions of the
documents. LNBYB appeared at the continued disclosure statement
hearing held on November 30, 2011 at which the Court approved the
revised disclosure statement. The plan confirmation hearing is
scheduled to take place on February 8, 2012.
///
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20. Other Litigation (20).
During the Covered Period, LNBYB billed 4.8 hours and
incurred $2,648 of fees in this category dealing with various
litigation matters.
99. Miscellaneous (99).
During the Covered Period, LNBYB billed .3 hours and
incurred $58.50 of fees in this category dealing with various
miscellaneous matters.
G. Detailed Listing of All Time Spent by the Professional
on the Matter for Which Compensation is Sought.
Attached hereto as Exhibit A is a detailed listing of all
time that LNBYB spent during the Covered Period for which LNBYB
seeks compensation including the date LNBYB rendered the service,
a description of the service, the amount of time spent and a
designation of the person who rendered the service for the period
of time for the Covered Period. Also included in Exhibit A is
a summary of the hours and fees charged by each of LNBYBs
attorneys that performed services for the Debtors. Also included
in Exhibit A is a breakdown of time entries into the activity
codes maintained by LNBYB.
H. Detailed Listing of Expenses by Category
Attached hereto as Exhibit B is a summary listing by
category and an itemization of all expenses that LNBYB advanced
on behalf of the Debtors during these cases. These include
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LNBYBs expenses incurred in photocopying, making long distance
telephone calls, telecopying, mailing, and hiring messenger
services. LNBYB generally handles regular and routine
photocopying in-house for which LNBYB charges clients twenty
cents per page. While LNBYB believes that this is less than
LNBYBs actual expenses incurred with regard to the photocopying
machines, supplies and labor associated with providing
photocopying services, this charge reflects the photocopying
charge recommended by the OUST in the Central District of
California. LNBYBs photocopy machines automatically record the
number of copies made when the person that is photocopying enters
the clients account number into a device attached to the
photocopy machine. Whenever feasible, LNBYB sends large copying
projects to outside copy services that charge bulk rates for
photocopying. In such instances, LNBYB charges clients the same
amount that LNBYB pays the outside service.
LNBYB charges clients $1.00 per page for sending telecopies
and $.20 per page for receiving telecopies which LNBYB believes
is less than LNBYBs actual expenses incurred with regard to
telecopying but again is a decision by LNBYB to comply with the
standards set forth by the OUST in the Central District of
California. All expenses that LNBYB advanced on behalf of the
Debtors were necessarily incurred and are properly charged as
administrative expenses of the Debtors Chapter 11 estates.
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When LNBYB uses Lexis and Westlaw, the user inputs the
client account number or case name for the research to be
performed. Each month, LNBYB receives a Lexis and Westlaw
invoice which reflects both an aggregate total of charges
incurred by LNBYB for the month, as well as a break out of the
specific charges incurred on behalf of each client (identified by
name or client account number). The amount(s) reflected on the
monthly invoice is then entered by LNBYB staff to the appropriate
client account number as identified on the invoice. There is no
profit or other additional charge added to the amount reflected
in the Lexis and Westlaw invoice.
I. Description of Professional Education and Experience
LNBYB is currently comprised of twenty-three lawyers. LNBYB
is comprised of attorneys who specialize in and limit their
practice to matters of insolvency, reorganization and bankruptcy
law, and commercial litigation matters, and is well qualified to
represent the Debtors. All attorneys comprising or associated
with LNBYB are admitted to practice law in the California courts
and in the United States District Court for the Central District
of California. Attached hereto as Exhibit C is a copy of
LNBYBs firm resume. Attached hereto as Exhibit D is a listing
of the current hourly billing rates for each of LNBYBs
attorneys.

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IV.
STANDARD OF LAW
Prior to the enactment of the Bankruptcy Code, the rule with
respect to compensation requests in the Ninth Circuit was that
the Court should award attorneys fees in accordance with a
strict rule of economy test. In re THC Financial Corp., 659
F.2d 951, 955 n.2 (9th Cir. 1981), cert. denied, 456 U.S. 977
(1982). This is no longer the law. The legislative history to
Section 330 of the Bankruptcy Code indicates that Congress was
primarily concerned with protecting the public interest in the
smooth, efficient operation of the bankruptcy system by
encouraging competent bankruptcy specialists to remain in the
field. First National Bank of Chicago v. Committee of Creditors
Holding Unsecured Claims (In re Powerline Oil Co.), 71 B.R. 767,
770 (Bankr. 9th Cir. 1986); In re Baldwin-United Corp., 79 B.R.
321, 346 (Bankr. S.D. Ohio 1987). Toward this end, Congress
specifically disavowed notions of economy of administration, and
provided that compensation in bankruptcy case should be
comparable to what is charged in nonbankruptcy matters. Id. at
346.
Under the lodestar approach, the Court is to determine the
number of hours reasonably expended in an attorneys
representation of a debtor and multiply such number by a
reasonable hourly rate for the services performed. See Delaware
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Valley Citizens Council for Clear Air, 478 U.S. at 565; In re
Powerline Oil Co., 71 B.R. 770. A reasonable hourly rate is
presumptively the rate the marketplace pays for the services
rendered. Missouri v. Jenkins by Agyei, 491 U.S. 274, 109 S.Ct.
2463, 2469 (1989); Burgess v. Klenske (In re Manoa Finance Co.,
Inc.) 853 F.2d 687, 691 (9th Cir. 1988). Recognizing that the
determination of an appropriate market rate for the services of
a lawyer is inherently difficult, the Supreme Court stated:
Market prices of commodities and most services are
determined by supply and demand. In this traditional sense there
is no such thing as a prevailing market rate for the service of
lawyers in a particular community. The type of services rendered
by lawyers, as well as their experience, skill, and reputation,
varies extensively -- even within a law firm. Accordingly, the
hourly rates of lawyers in private practice also vary widely.
The fees charged often are based on the product of hours devoted
to the representation multiplied by the lawyers customary rate.
Blum v. Stenson, 465 U.S. 886, 895 n.11 (1984). The Supreme
Court has stated that a reasonable attorneys fee means a fee
that would have been deemed reasonable if billed to affluent
plaintiffs by their own attorneys. Missouri v. Jenkins by
Agyei, 109 S.Ct. at 2470 (quoting City of Riverside v. Rivera,
477 U.S. 561, 591 (1986) (Rehnquist, J. dissenting)).
Accordingly, a reasonable hourly rate is the hourly amount to
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which attorneys in the area with comparable skill, experience and
reputation typically would be entitled as compensation. Blum v.
Stenson, 465 U.S. at 895 n.11.
LNBYB respectfully submits that the hourly rates for its
attorneys and paraprofessionals are reasonable and appropriate in
the relevant community and in view of the circumstances of these
cases, the demands that these cases placed on LNBYB, and the
extraordinarily successful results achieved by LNBYB. At the
time of the filing of these Chapter 11 cases, the Debtors were
rapidly running out of cash, had no available source of obtaining
additional funds, and had no unencumbered assets.
It was therefore clear that unless the Debtors were able to
consummate a very expedited sale of their business, the Debtors
would have been forced to shut down and liquidate, which would
have meant the loss of jobs of all of the Debtors nearly 1,000
employees and resulted in no recovery for unsecured creditors and
a diminutive recovery for the Senior Lenders as the liquidation
value of the Debtors assets had very little value. The only
meaningful value to the Debtors assets was if they could be
maintained and sold as a going concern, which necessarily
required the Debtors to continue operating pending the closing of
the asset sale.
The significant challenge facing the Debtors was to obtain
expedited Court approval of the Debtors asset sale to LabCorp
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and the Debtors pre-petition settlement with the qui tam
claimants, and to keep the Debtors business together with no
significant reduction in the volume pending the closing. This
was incredibly important given that LabCorp had the right to
reduce its purchase price and even walk away from the deal
entirely if the Debtors suffered a substantial reduction in the
their volume prior to the closing, which was always a very real
possibility.
While this was all complicated and delicate enough as it
was, the situation was made significantly more complicated by the
intervention of the FTC at the last minute, which nearly caused
the liquidation of the Debtors. Fortunately, LabCorp changed its
mind and ultimately decided to close its purchase notwithstanding
the pending inquiry being made by the FTC.
The final critical component to a successful sale process
was for the Debtors and the Committee to reach an agreement with
the Senior Lenders on a mutually acceptable allocation of the
LabCorp sale proceeds so that all creditors stood to receive a
substantial benefit from the Debtors asset sale to LabCorp, not
just the Senior Lenders. This was not an easy proposition given
that the Senior Lenders were comprised of a number of
participants and it is never easy to persuade a secured creditor
to agree to be paid less than what it is owed so that unsecured
creditors who are junior in priority can receive a benefit.
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LNBYB and its professionals and representatives, working together
with counsel to the Committee, successfully negotiated the Asset
Allocation Agreement with the Senior Lenders which has proven to
be an incredibly favorable deal for the Debtors estates and
their unsecured creditors. Indeed, as indicated above, the
Debtors currently have approximately $8.7 million of unencumbered
funds, which is a remarkable outcome given that the value of the
Debtors' assets was less than the Senior Lenders were owed. As
indicated in the recently approved disclosure statement, the
Debtors are estimating that their approximately $13 million of
general unsecured creditors will be receiving a cash distribution
upon plan confirmation equal to approximately 35.75% of their
allowed claims.
In summary, LNBYB submits that these have been
extraordinarily successful bankruptcy cases when a liquidation of
the Debtors with a disastrous outcome was always a very real
possibility. LNBYB respectfully submits that it, working in
close conjunction with the K&E lawyers and Mr. Pakkala (both of
whom were invaluable to this process and deserve a substantial
amount of credit for the success of these cases), and with
Committee counsel, played an integral role in the extraordinarily
successful results achieved in these cases. LNBYB assumed a
substantial amount of risk by agreeing to file these Chapter 11
cases and to serve as counsel to the Debtors with no pre-petition
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retainer balance remaining on the Petition Date. LNBYB therefore
believes that it should be paid the full amount of fees and
expenses incurred in its representation of the Debtors.
V.
CONCLUSION
WHEREFORE, LNBYB respectfully requests that this Court enter
an order:
(1) approving LNBYB's fees in the amount of $151,554 and
expenses in the amount of $12,376.34 for total fees and expenses
in the amount of $163,930.34 incurred during the Covered Period;
(2) authorizing LNBYB to be paid the sum of $163,930.34 by
the Debtors; and
(3) granting such other and further relief as the Court
deems just and proper.
Dated: December 1, 2011 LEVENE, NEALE, BENDER, YOO
& BRILL L.L.P.


By: /s/ Ron Bender
RON BENDER
TODD M. ARNOLD
LEVENE, NEALE, BENDER, YOO &
BRILL L.L.P.
Attorneys for Chapter 11
Debtors and Debtors in
Possession
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32
DECLARATION OF RON BENDER, ESQ.
I, Ron Bender, Esq., hereby declare as follows:
1. I am a founding and co-managing partner of Levene,
Neale, Bender, Yoo & Brill L.L.P. ("LNBYB"), which is serving as
bankruptcy counsel to Westcliff Medical Laboratories, Inc. and
BioLabs, Inc., the Chapter 11 debtors and debtors in possession
herein (collectively, the Debtors).
2. I have personal knowledge of the facts set forth below
and, if called to testify, I could and would testify competently
thereto.
3. I am the attorney at LNBYB primarily responsible for
the representation of the Debtors as bankruptcy counsel during
the Debtors Chapter 11 cases. I have represented more than 200
Chapter 11 debtors throughout my legal career. I have confirmed
countless Chapter 11 plans of reorganization and closed the sales
of numerous companies.
4. I have drafted the Fourth Interim Application Of
Levene, Neale, Bender, Yoo & Brill L.L.P. For Approval Of Fees
And Reimbursement Of Expenses (the Application) to which this
Declaration is attached. To the best of my knowledge,
information and belief, all of the matters stated in the
Application are true and correct.
5. The amounts requested in the Application for
compensation of fees and reimbursement of expenses incurred are
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33
based on LNBYBs business records kept in the ordinary course of
LNBYB's business.
6. All expenses for outside services such as photocopying
services, messenger and express mail services, postage and
research services (Lexis and Westlaw) for which LNBYB requests
reimbursement are the actual expenses incurred by LNBYB for such
services, and LNBYB does not seek any additional amounts or
profits with respect thereto.
7. I have reviewed the requirements of Local Bankruptcy
Rule 2016-1, and I believe that the Application complies with
this Rule.
I declare and verify under penalty of perjury that the
foregoing is true and correct.
Executed this 1st day of December, 2011, at Century City,
California.
/s/ Ron Bender
RON BENDER, ESQ.


Case 8:10-bk-16743-TA Doc 637 Filed 12/01/11 Entered 12/01/11 13:22:38 Desc
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EXHIBIT "A"





Case 8:10-bk-16743-TA Doc 637 Filed 12/01/11 Entered 12/01/11 13:22:38 Desc
Main Document Page 34 of 159
BIOLABS, INC./WESTCLIFF MEDICAL
OUR FILE #: 4367
PROFESSIONAL SERVICE RENDERED THROUGH 6/1/2011 11/30/2011
11/30/2011
RB
BIOLABS, INC./WESTCLIFF MEDICAL
MR. MATTHEW PAKKALA
633 WEST FIFTH STREET, 16TH FLOOR
LOS ANGELES, CA 90071
FEE APPLICATION
302.6
$151,554.00
TOTAL PROFESSIONAL HOURS FEES
COSTS
CONFERENCE CALL CHARGES 132.09
REPRODUCTION COSTS 3,912.60
FEDERAL EXPRESS 16.49
MESSENGER SERVICE 515.09
COURT RESEARCH PACER 65.36
POSTAGE 7,264.48
ATTORNEY SERVICE COSTS 295.60
TELEPHONIC COURT APPEARANCE 169.00
WESTLAW RESEARCH 5.63
$12,376.34 TOTAL COSTS
CURRENT PERIOD TOTAL PROFESSIONAL FEES AND COSTS $163,930.34
Case 8:10-bk-16743-TA Doc 637 Filed 12/01/11 Entered 12/01/11 13:22:38 Desc
Main Document Page 35 of 159
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
11/30/2011 1
DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
ASSET ANALYSIS AND RECOVERY 01 -
6/8/2011
ANALYSIS OF WIND DOWN STATUS UPDATE FROM PAKKALA AND RELATED DOCS
1353487 RB 595.00 $178.50
0.3
6/13/2011
ANALYSIS OF ROCHE EQUIPMENT ISSUES AND MULTIPLE RELATED CORRESPONDENCE
1355469 RB 595.00 $119.00 0.2
6/14/2011
ANALYSIS OF EQUIPMENT DISPOSITION ISSUES AND MULTIPLE RELATED EMAILS
1355489 RB 595.00 $119.00 0.2
6/20/2011
ANALYSIS OF CORRESPONDENCE RE SPLITTING OF AVOIDANCE ACTION RECOVERIES AND
RESPOND
1355961 TMA 495.00 $148.50
0.3
8/5/2011
ANALYSIS OF JULY STATUS UPDATED FROM MP AND RELATED MEMO
1377547 RB 595.00 $178.50 0.3
8/30/2011
ANALYSIS OF REFUND OF GARNISHMENT PAYMENT AND WRITE CLIENT RE SAME
1382200 TMA 495.00 $49.50 0.1
11/1/2011
PREPARATION OF EMAIL EXCHANGE RE: CASE OPEN MATTERS; CONF W/LC RE: SAME
1409916 RB 595.00 $238.00
0.4
1.8 Total $1,031.00
ASSET DISPOSITION 02 -
6/1/2011
PREPARATION OF CORRESPONDENCE TO LABWEST RE LEASE/CONTRACT REJECTION ISSUES
1349315 TMA 495.00 $198.00
0.4
6/2/2011
PREPARATION OF DECLARATION OF NON-OPPOSITION AND ORDER RE THIRD OMNIBUS MOTION
TO REJECT CONTRACTS AND LEASES
1349953 TMA 495.00 $297.00 0.6
6/3/2011
ANALYSIS OF CORRESPONDENCE RE: LEASE ISSUES AND RESPOND
1350577 TMA 495.00 $99.00 0.2
Case 8:10-bk-16743-TA Doc 637 Filed 12/01/11 Entered 12/01/11 13:22:38 Desc
Main Document Page 36 of 159
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
11/30/2011 2
DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
6/6/2011
ANALYSIS OF CORRESPONDENCE FROM LABWEST COUNSEL RE CLOSING ISSUES AND REJECTED
TESTING EQUIPMENT LEASES AND RESPOND AND EMAIL CLIENT RE SAME
1351629 TMA 495.00 $99.00 0.2
6/6/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE CONTRACT / LEASE REJECTION ISSUES AND
RESPOND
1351632 TMA 495.00 $99.00
0.2
6/8/2011
TELEPHONE CONFERENCE W/ CLIENT RE FEE APPLICATIONS AND CLOSING ISSUES RE TESTING
EQUIPMENT
1352382 TMA 495.00 $99.00 0.2
6/9/2011
ADDRESS ISSUES RE SALE CLOSING AND RELATED LEASE REJECTIONS
1352717 TMA 495.00 $148.50 0.3
6/9/2011
PREPARATION OF CORRESPONDENCE TO LABWEST COUNSEL RE SALE CLOSING AND RELATED
LEASE REJECTIONS
1352718 TMA 495.00 $99.00
0.2
6/9/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE SALE CLOSING AND RELATED LEASE
REJECTIONS
1352758 TMA 495.00 $99.00 0.2
6/9/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE LEASE REJECTION ISSUES
1352870 TMA 495.00 $49.50 0.1
6/9/2011
TELEPHONE CONFERENCE WITH HAIN CAPITAL RE VICTOR VALLEY CLAIM
1352871 TMA 495.00 $49.50
0.1
6/10/2011
TELEPHONE CONFERENCE WITH HAIN RE VICTOR VALLEY CLAIM AND EMAIL CLIENT RE SAME
1353017 TMA 495.00 $49.50 0.1
6/10/2011
EMAILS WITH ROCHE COUNSEL RE RECOVERY OF EQUIPMENT
1353019 TMA 495.00 $99.00 0.2
6/13/2011
ANALYSIS OF CORRESPONDENCE FROM HAIN CAPITAL RE VICTOR VALLEY CLAIM AND
RESPOND
1353569 TMA 495.00 $49.50
0.1
6/13/2011
ANALYSIS OF CORRESPONDENCE (MULTIPLE) RE RETURN OF ROCHE EQUIPMENT
1353577 TMA 495.00 $49.50 0.1
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
11/30/2011 3
DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
6/13/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE ASSET DISPOSITION ISSUES AND RESPOND
1354016 TMA 495.00 $49.50 0.1
6/14/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT AND HAIN CAPITAL RE VICTOR VALLEY CLAIM
AND RESPOND
1354018 TMA 495.00 $99.00
0.2
6/14/2011
ANALYSIS OF CORRESPONDENCE FROM BECKMAN RE LEASE REJECTION ISSUES AND RESPOND
1354221 TMA 495.00 $99.00 0.2
6/14/2011
ANALYSIS OF CORRESPONDENCE FROM ROCHE RE LEASE REJECTION AND EQUIPMENT RETURN
ISSUES
1354384 TMA 495.00 $99.00 0.2
6/14/2011
ANALYSIS OF CORRESPONDENCE FROM BECKMAN RE LEASE REJECTION AND EQUIPMENT
RETURN ISSUES
1354385 TMA 495.00 $99.00
0.2
6/15/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE LEASE REJECTION AND EQUIPMENT RETURN
ISSUES
1354386 TMA 495.00 $99.00 0.2
6/15/2011
PREPARATION OF CORRESPONDENCE TO LABWEST COUNSEL RE REJECTION ISSUES
1354387 TMA 495.00 $99.00 0.2
6/15/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE REJECTION ISSUES
1354388 TMA 495.00 $99.00
0.2
6/16/2011
ANALYSIS OF EMAIL RE: ORDER RE DEBTORS' THIRD OMNIBUS MOTION TO REJECT EXECUTORY
CONTRACTS AND UNEXPIRED LEASES
1361880 JLJ 495.00 $49.50 0.1
6/17/2011
ANALYSIS OF ORDER ON THIRD OMNIBUS MOTION TO REJECT LEASES/CONTRACTS AND EMAIL
CLIENT RE SAME
1355223 TMA 495.00 $99.00 0.2
6/17/2011
ANALYSIS OF CORRESPONDENCE MULTIPLE RE LEASE REJECTION ISSUES
1355226 TMA 495.00 $99.00
0.2
6/23/2011
ANALYSIS OF DATA RE AVOIDANCE ACTIONS
1357461 TMA 495.00 $1,039.50 2.1
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
11/30/2011 4
DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
7/5/2011
ANALYSIS OF CORRESPONDENCE FROM HEALTHNET RE PAYMENT OF CURE AMOUNT AND
RESPOND
1361136 TMA 495.00 $99.00 0.2
7/11/2011
ANALYSIS OF CORRESPONDENCE RE RETURN OF GRIFOLS EQUIPMENT AND RESPOND
1364110 TMA 495.00 $99.00
0.2
8/3/2011
ANALYSIS OF ORDER CONTINUING HEARING ON OBJECTION TO VICTOR VALLEY CLAIM SOLD TO
HAIN CAPITAL
1373191 TMA 495.00 $49.50 0.1
7.8 Total $3,861.00
BUSINESS OPERATIONS 03 -
6/1/2011
ANALYSIS OF EMAILS RE: LEASES AND CONTRACTS AND LABWEST
1353319 RB 595.00 $59.50 0.1
6/1/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE BOARD ISSUES AND RESPOND
1349267 TMA 495.00 $99.00 0.2
6/2/2011
ANALYSIS OF MTN TO REJECT CONTRACTS AND LEASES AND RELATED EMAILS
1353341 RB 595.00 $119.00
0.2
6/2/2011
ANALYSIS OF CONTRACTS AND LEASES ISSUES
1353353 RB 595.00 $119.00 0.2
6/2/2011
ANALYSIS OF NOTICE OF LEVY RE FORMER EMPLOYEE AQUINO AND PREPARE LETTER IN
RESPONSE
1350273 TMA 495.00 $148.50 0.3
6/2/2011
ANALYSIS OF NOTICE OF LEVY RE FORMER EMPLOYEE TUCKER AND EMAIL CLIENT RE SAME
1350274 TMA 495.00 $99.00
0.2
6/3/2011
ANALYSIS OF LEASES AND CONTRACTS ISSUES WITH LABWEST
1353366 RB 595.00 $119.00 0.2
6/6/2011
ANALYSIS OF CONTRACTS AND LEASES AND LABWEST ISSUES
1353434 RB 595.00 $119.00 0.2
Case 8:10-bk-16743-TA Doc 637 Filed 12/01/11 Entered 12/01/11 13:22:38 Desc
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
11/30/2011 5
DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
6/7/2011
ANALYSIS OF LEASES AND CONTRACTS ISSUES WITH LABCORP
1353439 RB 595.00 $119.00 0.2
6/7/2011
ANALYSIS OF EQUIPMENT LEASE REJECTION AND RETRIEVAL ISSUES
1353443 RB 595.00 $119.00
0.2
6/8/2011
ANALYSIS OF LABWEST LEASE AND CONTRACT ISSUES
1353510 RB 595.00 $119.00 0.2
6/9/2011
ANALYSIS OF LABCORP LEASES AND CONTRACTS ISSUES AND RELATED EMAILS
1353535 RB 595.00 $119.00 0.2
6/15/2011
ANALYSIS OF REJECTED EQUIPMENT LEASES AND DISPUTE WITH LABWEST AND MULTIPLE
RELATED EMAILS
1355522 RB 595.00 $178.50
0.3
6/16/2011
ANALYSIS OF CONTRACTS AND LEASES ORDER
1355554 RB 595.00 $59.50 0.1
6/17/2011
ANALYSIS OF LABWEST CONTRACT ISSUES AND DISPUTES
1355575 RB 595.00 $119.00 0.2
8/26/2011
TELEPHONE CONFERENCE WITH LAURA RE: BUSINESS OPERATIONAL AND PLANNING ISSUES
1384298 RB 595.00 $178.50
0.3
8/26/2011
ANALYSIS OF FTI COMP ISSUES
1384301 RB 595.00 $59.50 0.1
8/28/2011
PREPARATION OF FTI COMP MOTION
1384317 RB 595.00 $119.00 0.2
8/30/2011
PREPARATION OF EMAIL EXCHANGE RE: FTI EMPLOYMENT ISSUES
1384377 RB 595.00 $59.50
0.1
8/30/2011
ANALYSIS OF RETURNED LABWEST GARNISHMENT PAYMENT CHECK AND EMAIL LABWEST
COUNSEL RE SAME
1382204 TMA 495.00 $49.50 0.1
Case 8:10-bk-16743-TA Doc 637 Filed 12/01/11 Entered 12/01/11 13:22:38 Desc
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
11/30/2011 6
DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
8/31/2011
PREPARATION OF FTI MTN
1384418 RB 595.00 $59.50 0.1
9/1/2011
ANALYSIS OF MANAGEMENT COMP MTN
1393313 RB 595.00 $59.50
0.1
9/6/2011
ANALYSIS OF EMAIL RE: FOURTH MOTION FOR AUTHORITY TO CONTINUE PAYING SENIOR
MANAGEMENT COMPENSATION
1385601 JLJ 495.00 $49.50 0.1
9/22/2011
ANALYSIS OF CORRESPONDENCE FROM LABWEST RE DEBTOR CHECKS AND MAIL RECEIVED BY
LABWEST AND EMAIL CLIENT RE SAME
1390772 TMA 495.00 $49.50 0.1
9/27/2011
ANALYSIS OF MANAGEMENT COMP ORDER
1395398 RB 595.00 $59.50
0.1
10/14/2011
ANALYSIS OF CORRESPONDENCE RE FTB RETURNS AND RELATED ISSUES
1399878 TMA 495.00 $99.00 0.2
10/15/2011
PREPARATION OF EMAIL EXCHANGE RE: TAX RETURN ISSUES
1402078 RB 595.00 $59.50 0.1
11/1/2011
ANALYSIS OF EMPLOYEE TERMINATION ISSUES; CONF W/LC
1409924 RB 595.00 $238.00
0.4
5.0 Total $2,855.00
CASE ADMINISTRATION 04 -
6/1/2011
PREPARATION OF EMAIL EXCHANGE RE: CASE PLANNING
1353318 RB 595.00 $119.00
0.2
6/8/2011
ANALYSIS OF CASE UPDATE FROM FTI
1352428 TMA 495.00 $99.00 0.2
6/13/2011
PREPARATION OF MOTION TO EXTEND EXCLUSIVITY PERIODS AND RELATED PLEADINGS
1353573 TMA 495.00 $1,386.00 2.8
Case 8:10-bk-16743-TA Doc 637 Filed 12/01/11 Entered 12/01/11 13:22:38 Desc
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
11/30/2011 7
DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
6/13/2011
EMAILS WITH CLIENT RE MOTION TO EXTEND EXCLUSIVITY PERIODS
1353828 TMA 495.00 $49.50 0.1
6/15/2011
PREPARATION OF STIPULATION AND ORDER RE BANDA AND ENTERPRISE RENT-A-CAR FOR
LIMITED MODIFICATION OF AUTO STAY RE INSURANCE; EFILE AND SERVICE
1358576 TRISH 125.00 $62.50
0.5
6/23/2011
ANALYSIS OF SCHEDULING ORDER
1358290 RB 595.00 $59.50 0.1
6/24/2011
ANALYSIS OF CORRESPONDENCE FROM BECKMAN RE ADMINISTRATIVE CLAIM ORDER AND
RESPOND
1357803 TMA 495.00 $49.50 0.1
6/27/2011
ANALYSIS OF SCHEDULING ORDER AND FILE
1359310 RB 595.00 $59.50
0.1
6/27/2011
PREPARATION OF CHAPTER 11 SCHEDULING ORDER
1358409 TMA 495.00 $99.00 0.2
6/28/2011
PREPARATION OF DECLARATION OF NON-OPPOSITION AND ORDER RE MOTION TO EXTEND
EXCLUSIVITY
1358897 TMA 495.00 $198.00 0.4
6/29/2011
ANALYSIS OF STATUS REPORT AND ORDER AND PREP OF RELATED EMAIL EXCHANGE
1360440 RB 595.00 $119.00
0.2
7/11/2011
ANALYSIS OF ORDER CONTINUING HEARING ON GENZYME CLAIMS
1364175 TMA 495.00 $49.50 0.1
7/11/2011
REVIEW AND REVISE MAY MOR
1364176 TMA 495.00 $198.00 0.4
7/11/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE MAY MOR AND RESPOND
1364177 TMA 495.00 $99.00
0.2
7/11/2011
TELEPHONE CONFERENCE W/ CLIENT RE MAY MOR AND RECONCILIATION OF SPECIALTY CLAIM
1364234 TMA 495.00 $99.00 0.2
Case 8:10-bk-16743-TA Doc 637 Filed 12/01/11 Entered 12/01/11 13:22:38 Desc
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
11/30/2011 8
DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
7/12/2011
ANALYSIS OF MAY MOR AND RELATED CORRESPONDENCE
1368135 RB 595.00 $119.00 0.2
7/12/2011
ANALYSIS OF ORDER EXTENDING EXCLUSIVITY
1364656 TMA 495.00 $49.50
0.1
7/15/2011
EMAILS WITH N. GOLDENBERG OF OUST RE MOR ISSUES
1370776 JLJ 495.00 $99.00 0.2
7/15/2011
ANALYSIS OF MOR NO. 13
1368199 RB 595.00 $59.50 0.1
7/15/2011
ANALYSIS OF CORRESPONDENCE FROM TRUSTEE RE MAY MOR AND RESPOND
1365615 TMA 495.00 $99.00
0.2
7/15/2011
EMAILS WITH CLIENT RE MAY AND JUNE MOR
1365616 TMA 495.00 $49.50 0.1
7/20/2011
REVIEW AND REVISE JUNE MONTHLY OPERATING REPORT
1367156 TMA 495.00 $99.00 0.2
7/20/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE DUNE MONTHLY OPERATING REPORT AND
RESPOND
1367157 TMA 495.00 $99.00
0.2
07/26/2011
PREPARATION OF MOR NO. 14 FOR MONTH ENDING JUNE 30, 2011 (FINAL); PREPARATION OF
SERVICE LIST; E-FILE VIA ECF
1369473 LC 195.00 $58.50 0.3
7/26/2011
ANALYSIS OF MOR NO. 14
1371308 RB 595.00 $59.50 0.1
7/26/2011
FINALIZE JUNE MOR AND EMAIL CLIENT RE SAME
1369319 TMA 495.00 $99.00
0.2
7/26/2011
ANALYSIS OF DOCUMENT SUBPOENA AND MAIL CLIENT RE SAME
1369513 TMA 495.00 $99.00 0.2
Case 8:10-bk-16743-TA Doc 637 Filed 12/01/11 Entered 12/01/11 13:22:38 Desc
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
11/30/2011 9
DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
7/26/2011
ANALYSIS OF CORRESPONDENCE FROM CAMBRIDGE RE SETTLEMENT OF CLAIM AND EMAIL
CLIENT RE SAME
1369564 TMA 495.00 $99.00 0.2
7/28/2011
ANALYSIS OF PK SCHIFFER DOCUMENT SUBPOENA AND PREPARE RESPONSE
1370373 TMA 495.00 $148.50
0.3
8/2/2011
ANALYSIS OF EMAIL RE SCHEDULING ORDER EMAIL TO ATTORNEY M. VERMILLIAN RE CASH
COLLATERAL ISS
1383058 JLJ 495.00 $49.50 0.1
8/3/2011
ANALYSIS OF ENTERED CHAPTER 11 SCHEDULING ORDER
1382800 JLJ 495.00 $49.50 0.1
8/3/2011
ANALYSIS OF CASE SCHEDULING ORDER
1377409 RB 595.00 $59.50
0.1
8/3/2011
ANALYSIS OF GARNISHMENT ORDER RE EDD V. JOHNSON AND RESPOND
1373178 TMA 495.00 $99.00 0.2
8/3/2011
ANALYSIS OF CHAPTER 11 SCHEDULING ORDER
1373193 TMA 495.00 $49.50 0.1
8/4/2011
ANALYSIS OF EMAIL RE: NOTICE OF MOTION AND MOTION TO ESTABLISH A BAR DATE FOR
FILING ADMINISTRATIVE EXPENSE PRIORITY CLAIMS
1382834 JLJ 495.00 $49.50
0.1
8/5/2011
ANALYSIS OF MONTHLY UPDATE RE ESTATE
1375788 TMA 495.00 $49.50 0.1
8/28/2011
ANALYSIS OF MOR NO. 15
1384323 RB 595.00 $59.50 0.1
08/29/2011
PREPARATION OF MOR NO. 15 FOR MONTH ENDING JULY; E-FILE VIA ECF; PREPARATION OF
SERVICE LIST
1381797 LC 195.00 $78.00
0.4
8/29/2011
EMAILS WITH CLIENT RE JULY MOR
1381643 TMA 495.00 $49.50 0.1
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Page #
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
08/31/2011
PREPARATION OF CORRESPONDENCE TO LAURA CONTRERAS RE ROBERT A. AQUINO; (MULTI)
EMAIL EXCHANGE
1382667 LC 195.00 $39.00 0.2
09/01/2011
PREPARATION OF MOTION FOR AUTHORITY TO CONTINUE PAYING SR. MGMT COMP (PAKKALA);
E-FILE VIA ECF; PREPARATION OF SERVICE LISTS, CALENDAR DUE DATES RE DEC RE NON OPP TO
SAME
1383242 LC 195.00 $117.00
0.6
09/16/2011
PREPARATION OF DECLARATION RE NON OPPOSITION AND ORDER RE: MOTION TO EXTEND
PAKKALA EMPLOYMENT; ANALYSIS OF COURT DOCKET RE: NO OBJECTIONS TO THE MOTION
FOUND
1389330 LC 195.00 $97.50 0.5
9/19/2011
SET UP TELEPHONIC COURT APPEARANCE VIA COURTCALL RE ACE 09/20 HEARING (MULTI
CALLS AND EMAILS)
1389388 LC 195.00 $39.00 0.2
9/19/2011
PREPARATION OF DEC RE NON OPP AND ORDER RE MOTION TO CONTINUE SENIOR
MANAGEMENT COMPENSATION (FINAL); PREPARATION OF EXHIBITS, SERVICE LISTS AND NOE
1389390 LC 195.00 $97.50
0.5
9/23/2011
REVIEW AND REVISE AUGUST MOR AND EMAIL CLIENT RE SAME
1391232 TMA 495.00 $99.00 0.2
9/26/2011
PREPARATION OF DEBTORS' FOURTH STATUS REPORT (FINAL); E-FILE VIA ECF; PREPARATION OF
SERVICE LISTS
1391847 LC 195.00 $58.50 0.3
9/26/2011
PREPARATION OF MOR NO. 15 FOR MONTH ENDING AUGUST 31, 2011 (FINAL); E-FILE VIA ECF;
PREPARATION OF SERVICE LIST
1391852 LC 195.00 $58.50
0.3
9/26/2011
PREPARATION OF SET UP COURT TELEPHONIC APPEARANCE VIA COURT CALL RE 09 29 STATUS
CONFERENCE HEARING
1391854 LC 195.00 $19.50 0.1
9/26/2011
PREPARATION OF CASE STATUS REPORT; ANALYSIS OF FILE; PREP OF RELATED EMAIL
EXCHANGE
1395358 RB 595.00 $1,071.00 1.8
9/26/2011
ANALYSIS OF MOR NO. 15
1395361 RB 595.00 $59.50
0.1
9/26/2011
PREPARATION OF CASE MANAGEMENT REPORT
1391576 TMA 495.00 $445.50 0.9
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Page #
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
9/29/2011
APPEARANCE AT CASE STATUS CONFERENCE; ANALYSIS OF FILE IN ADVANCE
1396006 RB 595.00 $2,082.50 3.5
9/29/2011
ANALYSIS OF STATUS CONF ORDER
1396031 RB 595.00 $59.50
0.1
10/4/2011
ANALYSIS OF EMAIL RE: ENTERED ORDER APPROVING MOTION TO ESTABLISH A BAR DATE FOR
FILING ADMINISTRATIVE EXPENSE PRIORITY CLAIMS
1405155 JLJ 495.00 $49.50 0.1
10/14/2011
ANALYSIS OF CORRESPONDENCE FROM SPECIALTY RE PAYMENT ON ADMINISTRATIVE CLAIM
AND EMAIL CLIENT RE SAME
1399598 TMA 495.00 $99.00 0.2
10/20/2011
ANALYSIS OF CORRESPONDENCE RE DISCOVERY ISSUES RE PANGEA
1401411 TMA 495.00 $49.50
0.1
10/26/2011
ANALYSIS OF STATUS CONF ISSUES
1404414 RB 595.00 $59.50 0.1
10/27/2011
REVIEW AND REVISE SEPTEMBER MOR
1403833 TMA 495.00 $198.00 0.4
11/7/2011
PREPARATION OF MOR NO. 16 FOR MONTH ENDING SEPTEMBER 30, 2011; E-FILE; PREPARATION OF
SERVICE LISTS
1408052 LC 195.00 $78.00
0.4
11/7/2011
ANALYSIS OF MOR NO. 16
1410085 RB 595.00 $59.50 0.1
11/8/2011
TELEPHONE CONFERENCE WITH COURT CONFERENCE RE TELEPHONIC APPEARANCE
1408395 JK 195.00 $39.00 0.2
11/16/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE SEPTEMBER MOR
1411621 TMA 495.00 $49.50
0.1
11/28/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE OCTOBER MOR
1415401 TMA 495.00 $49.50 0.1
20.9 Total $9,650.50
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
CLAIMS ADMIN. AND OBJECTIONS 05 -
6/1/2011
ANALYSIS OF CLAIMS ISSUES
1353334 RB 595.00 $119.00
0.2
6/1/2011
ANALYSIS OF ORDER ON FOURTH OMNIBUS OBJECTION TO CLAIMS AND UPDATE CLAIMS
INFORMATION
1349265 TMA 495.00 $198.00 0.4
6/1/2011
PREPARE FOR AND APPEAR AT HEARING (TELEPHONIC) RE BECKMAN COULTER MOTION FOR
THE ALLOWANCE AND PAYMENT OF AN ADMINISTRATIVE CLAIM
1349316 TMA 495.00 $396.00 0.8
6/1/2011
PREPARATION OF CORRESPONDENCE TO OPP COUNSEL RE ORDER ON BECKMAN COULTER
MOTION FOR THE ALLOWANCE AND PAYMENT OF AN ADMINISTRATIVE CLAIM
1349317 TMA 495.00 $49.50
0.1
6/2/2011
ANALYSIS OF CLAIMS CHART AND MULTIPLE RELATED EMAILS
1353346 RB 595.00 $178.50 0.3
6/2/2011
ANALYSIS OF UPDATED CLAIMS ANALYSIS FOR CLIENT
1350110 TMA 495.00 $742.50 1.5
6/2/2011
ANALYSIS OF ORDER ON STIPULATION FOR RELIEF FROM STAY AND RESOLVING CLAIMS RE
CLAIRE OAKES
1350113 TMA 495.00 $49.50
0.1
6/2/2011
PREPARATION OF CORRESPONDENCE TO BECKMAN COULTER COUNSEL RE ORDER ON MOTION
FOR THE ALLOWANCE AND PAYMENT OF ADMINISTRATIVE CLAIM
1350568 TMA 495.00 $49.50 0.1
6/2/2011
PREPARATION OF CORRESPONDENCE TO M. LUBIC RE GENZYME CLAIM OBJECTIONS AND
IDENTITY OF EQUIPMENT LEASES WHERE THERE ARE NEW AGREEMENTS IN PLACE WITH LW
1350569 TMA 495.00 $99.00 0.2
6/2/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE REJECTION CLAIMS AND RESPOND
1350571 TMA 495.00 $49.50
0.1
6/3/2011
ANALYSIS OF CORRESPONDENCE FROM BECKMAN COULTER COUNSEL RE ORDER ON MOTION
FOR ALLOWANCE AND PAYMENT OF ADMINISTRATIVE CLAIM
1350603 TMA 495.00 $49.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
6/3/2011
ANALYSIS OF CORRESPONDENCE FROM STODDARD RE CLAIM ISSUES AND EMAIL CLIENT RE
SAME
1350818 TMA 495.00 $49.50 0.1
6/6/2011
ANALYSIS OF CLAIMS ISSUES AND RELATED CORRESPONDENCE AND DOCS
1353412 RB 595.00 $119.00
0.2
6/6/2011
ANALYSIS OF CLAIM ISSUES AND RELATED CORRESPONDENCE
1353433 RB 595.00 $119.00 0.2
6/6/2011
ANALYSIS OF BECKMAN ADM CLAIM ORDER AND RELATED CORRESPONDENCE
1353436 RB 595.00 $59.50 0.1
6/6/2011
ANALYSIS OF PROPOSED STIPULATION CONTINUING HEARING ON GENZYME CLAIM OBJECTION
AND REVISE
1351290 TMA 495.00 $99.00
0.2
6/6/2011
ANALYSIS OF CORRESPONDENCE FROM OPPOSING COUNSEL RE PROPOSED STIPULATION
CONTINUING HEARING ON GENZYME CLAIM OBJECTION AND RESPOND
1351291 TMA 495.00 $99.00 0.2
6/6/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE CLAIMS RESOLUTION AND SALE CLOSING
ISSUES AND RESPOND
1351534 TMA 495.00 $99.00 0.2
6/6/2011
PREPARATION OF CORRESPONDENCE TO LAB WEST COUNSEL RE CLAIMS RESOLUTION AND
SALE CLOSING ISSUES
1351546 TMA 495.00 $99.00
0.2
6/6/2011
ANALYSIS OF CORRESPONDENCE FROM BECKMAN RE PROPOSED ORDER ON MOTION FOR THE
ALLOWANCE AND PAYMENT OF ADMINISTRATIVE CLAIM
1351556 TMA 495.00 $49.50 0.1
6/6/2011
ANALYSIS OF BECKMAN'S PROPOSED ORDER ON MOTION FOR THE ALLOWANCE AND PAYMENT
OF ADMINISTRATIVE CLAIM AND REVISE
1351557 TMA 495.00 $99.00 0.2
6/6/2011
ANALYSIS OF CORRESPONDENCE FROM GENZYME RE OBJECTION TO CLAIM AND RESPOND
1351559 TMA 495.00 $99.00
0.2
6/6/2011
ANALYSIS OF CORRESPONDENCE FROM BECKMAN RE PROPOSED ORDER ON ADMINISTRATIVE
CLAIM MOTION AND RESPOND
1351630 TMA 495.00 $99.00 0.2
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Page #
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
6/7/2011
ANALYSIS OF MULTIPLE CLAIMS ISSUES
1353440 RB 595.00 $119.00 0.2
6/7/2011
ANALYSIS OF ESOTERIX CLAIM STIP
1353478 RB 595.00 $59.50
0.1
6/7/2011
ANALYSIS OF CORRESPONDENCE FROM M. LUBIC RE REVISED STIPULATION CONTINUING
OBJECTION TO GENZYME CLAIM AND RESPOND
1351865 TMA 495.00 $99.00 0.2
6/8/2011
ANALYSIS OF EMAILS RE: STIPULATION BY ESOTERIX GENETIC LABORATORIES, LLC AND
DEBTORS
1361586 JLJ 495.00 $49.50 0.1
6/8/2011
ANALYSIS OF PROOF OF CLAIM OF DESCARTES SYSTEMS
1361600 JLJ 495.00 $49.50
0.1
6/8/2011
ANALYSIS OF OPPOSITION TO (RELATED DOCUMENT(S): [436] MOTION TO DISALLOW CLAIMS
FOURTH OMNIBUS MOTION FOR ORDER DISALLOWING CLAIMS
1361601 JLJ 495.00 $99.00 0.2
6/8/2011
ANALYSIS OF ENTERED ORDER GRANTING STIPULATION TO CONTINUE HEARING ON DEBTORS'
MOTION FOR ORDER DISALLOWING CERTAIN CLAIMS OF GENZYME GENETICS
1361603 JLJ 495.00 $49.50 0.1
6/8/2011
ANALYSIS OF DESCARTES CLAIM OBJECTION RESPONSE
1353509 RB 595.00 $59.50
0.1
6/8/2011
ANALYSIS OF CLAIMS ORDERS
1353511 RB 595.00 $119.00 0.2
6/8/2011
PREPARE FOR AND APPEAR (TELEPHONICALLY) AT HEARING ON OBJECTION TO GENZYME
CLAIMS
1352381 TMA 495.00 $396.00 0.8
6/8/2011
ANALYSIS OF ORDER ON MOTION TO CONTINUE HEARING ON OBJECTION TO GENZYME CLAIMS
1352385 TMA 495.00 $49.50
0.1
6/8/2011
ANALYSIS OF DESCARTES OPPOSITION TO OBJECTION TO CLAIM AND AMENDED CLAIM AND
EMAIL CLIENT RE SAME
1352387 TMA 495.00 $198.00 0.4
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Page #
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
6/8/2011
ANALYSIS OF STATUS OF 5TH OMNIBUS OBJECTION TO CLAIMS
1352446 TMA 495.00 $99.00 0.2
6/9/2011
ANALYSIS OF EMAIL RE: DECLARATION OF NON-OPPOSITION RE: DEBTORS FIFTH OMNIBUS
MOTION FOR ORDER DISALLOWING CLAIMS
1361658 JLJ 495.00 $49.50
0.1
6/9/2011
ANALYSIS OF CLAIMS MATTERS
1353527 RB 595.00 $119.00 0.2
6/9/2011
PREPARATION OF DECLARATION OF NON OPPOSITION AND ORDER RE FIFTH OMNIBUS
OBJECTION TO CLAIMS
1352584 TMA 495.00 $247.50 0.5
6/9/2011
EMAILS WITH BECKMAN RE PROPOSED ORDER ON ADMINISTRATIVE CLAIM
1352716 TMA 495.00 $99.00
0.2
6/9/2011
ANALYSIS OF CORRESPONDENCE RE OBJECTION TO DESCARTES CLAIM (MULTI) FROM CLIENT
AND RESPOND
1352759 TMA 495.00 $99.00 0.2
6/9/2011
TELEPHONE CONF. W/ CREDITORS J. MIROFF RE STATUS OF CASE AND CLAIM
1352868 TMA 495.00 $49.50 0.1
6/9/2011
REVIEW EXECUTIVE EMPLOYMENT AGREEMENTS IN PREPARATION FOR DRAFTING OMNIBUS
OBJECTIONS
1352955 TMA 495.00 $693.00
1.4
6/10/2011
ANALYSIS OF ACE CLAIM STIP AND RELATED EMAILS
1355416 RB 595.00 $59.50 0.1
6/13/2011
PREPARATION OF CORRESPONDENCE TO M. SKINNER RE OBJECTION TO DESCARTES CLAIM
1353578 TMA 495.00 $49.50 0.1
6/13/2011
ANALYSIS OF CORRESPONDENCE FROM ROCHE COUNSEL RE CLAIMS ISSUES AND RESPOND
1353649 TMA 495.00 $99.00
0.2
6/13/2011
ANALYSIS OF CORRESPONDENCE RE RETURN OF ROCHE EQUIPMENT AND RELATED ISSUES
(MULTI) AND RESPOND
1353814 TMA 495.00 $99.00 0.2
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Page #
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
6/14/2011
PREPARATION OF CORRESPONDENCE TO DESCARTES COUNSEL RE CONTINUANCE OF HEARING
ON CLAIM OBJECTION
1354021 TMA 495.00 $49.50 0.1
6/15/2011
ANALYSIS OF EMAIL RE: STIPULATION BY WESTCLIFF MEDICAL LABORATORIES, INC. AND
CREDITOR DESCARTES SYSTEMS
1361810 JLJ 495.00 $49.50
0.1
6/15/2011
ANALYSIS OF DESCARTES CLAIM STIP
1355529 RB 595.00 $59.50 0.1
6/15/2011
PREPARATION OF STIPULATION AND ORDER COTNINUING DESCARTES CLAIM OBJECTION
1354381 TMA 495.00 $148.50 0.3
6/15/2011
PREPARATION OF CORRESPONDENCE TO DESCARTES COUNSEL RE STIPULATION CONTINUING
HEARING ON CLAIM OBJECTION
1354382 TMA 495.00 $49.50
0.1
6/15/2011
ANALYSIS OF STIPULATION RESOLVING STAY AND CLAIM ISSUES RE WAWANESA CLAIMS AND
EMAIL ACE COUNSEL RE SAME
1354712 TMA 495.00 $148.50 0.3
6/16/2011
ANALYSIS OF ENTERED ORDER APPROVING STIPULATION RE CLAIMS OF BRONCO
PROFESSIONAL PARK, LLC
1361881 JLJ 495.00 $49.50 0.1
6/16/2011
ANALYSIS OF BRONCO CLAIMS STIP
1355556 RB 595.00 $59.50
0.1
6/17/2011
ANALYSIS OF REJECTION CLAIM ISSUES
1355571 RB 595.00 $119.00 0.2
6/17/2011
ANALYSIS OF ORDER ON STIPULATION RESOLVING BRONCO CLAIMS
1355222 TMA 495.00 $49.50 0.1
6/17/2011
ANALYSIS OF CORRESPONDENCE FROM SPECIALTY COUNSEL RE SETTLEMENT OF CLAIM
1355947 TMA 495.00 $49.50
0.1
6/21/2011
ANALYSIS OF EMAIL RE: ORDER GRANTING STIPULATION TO CONTINUE HEARING ON OBJECTION
TO CLAIM NO. 113 OF DESCARTES SYSTEMS
1362035 JLJ 495.00 $49.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
6/21/2011
ANALYSIS OF CLAIMS ISSUES
1357230 RB 595.00 $59.50 0.1
6/21/2011
ANALYSIS OF ORDER ON STIPULATION TO CONTINUE HEARING ON DESCARTES CLAIM
OBJECTION
1356652 TMA 495.00 $49.50
0.1
6/21/2011
PREPARE FOR HEARINGS ON FOURTH AND FIFTH OMNIBUS OBJECTIONS TO CLAIMS
1356653 TMA 495.00 $148.50 0.3
6/22/2011
APPEARANCE AT HEARING ON FIFTH OMNIBUS MOTION FOR DISALLOWING EMPLOYEE CLAIMS
AND FOURTH OMNIBUS MOTION OF DISALLOWING CLAIMS FOR NO DOCUMENTATION
1356946 AAF 435.00 $435.00 1.0
6/23/2011
ANALYSIS OF EMAIL RE: PROOF OF CLAIM OF LGSM LAGUNA HILLS
1362121 JLJ 495.00 $49.50
0.1
6/23/2011
ANALYSIS OF CAMBRIDGE CLAIM DISPUTE
1358292 RB 595.00 $59.50 0.1
6/23/2011
ANALYSIS OF CLAIMS DISPUTES
1358304 RB 595.00 $59.50 0.1
6/23/2011
ANALYSIS OF CORRESPONDENCE FROM CAMBRIDGE COUNSEL RE SETTLEMENT OF CLAIMS AND
RESPOND
1357326 TMA 495.00 $247.50
0.5
6/23/2011
ANALYSIS OF DOCUMENTS AND CORRESPONDENCE FROM GENZYME RE ALLEGED CLAIM AND
ISSUES RE SAME
1357329 TMA 495.00 $99.00 0.2
6/23/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE RECONCILIATION OF GENZYME CLAIMS
1357410 TMA 495.00 $99.00 0.2
6/24/2011
ANALYSIS OF BECKMAN CLAIM DISPUTE
1358319 RB 595.00 $59.50
0.1
6/24/2011
ANALYSIS OF HEARING TAPE RE BECKMAN'S ADMINISTRATIVE CLAIM AND EMAIL OPPOSING
COUNSEL RE SAME AND ORDER ON MOTION
1357762 TMA 495.00 $198.00 0.4
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
6/24/2011
ANALYSIS OF CORRESPONDENCE FROM FORMS RE STATUS OF CASE AND CLAIM AND RESPOND
1357832 TMA 495.00 $99.00 0.2
6/24/2011
TELEPHONE CONFERENCE WITH CAMBRIDGE RE CLAIM ISSUES AND SETTLEMENT OF SAME
1357834 TMA 495.00 $99.00
0.2
6/30/2011
ANALYSIS OF SPECIALTY LABS CLAIMS DISPUTES
1360634 RB 595.00 $119.00 0.2
6/30/2011
ANALYSIS OF CORRESPONDENCE FROM GENZYME RE OBJECTION TO CLAIM AND STATUS OF
SAME
1359838 TMA 495.00 $49.50 0.1
6/30/2011
PREPARATION OF CORRESPONDENCE TO LAURA CONTRERAS RE RECONCILIATION OF GENZYME
CLAIMS
1359839 TMA 495.00 $49.50
0.1
6/30/2011
ANALYSIS OF CORRESPONDENCE FROM SPECIALTY RE SETTLEMENT OF CLAIMS
1359845 TMA 495.00 $49.50 0.1
7/1/2011
ANALYSIS OF ESOTERIX CLAIM STIP
1367984 RB 595.00 $59.50 0.1
7/1/2011
ANALYSIS OF CLAIMS INFO FOR PREP OF DISCLOSURE STATEMENT AND PREP OF RELATED
EMAIL EXCHANGE
1367987 RB 595.00 $238.00
0.4
7/1/2011
ANALYSIS OF STIPULATION TO CONTINUE HEARING ON GENZYME CLAIM OBJECTION AND
EMAIL RE SAME AND RESPOND
1360211 TMA 495.00 $99.00 0.2
7/1/2011
ANALYSIS OF PROPOSED BECKMAN ORDER RE ADMINISTRATIVE CLAIM AND LOCAL RULE RE
SAME
1360373 TMA 495.00 $99.00 0.2
7/5/2011
ANALYSIS OF CLAIMS ISSUES AND MULTIPLE RELATED CORRESPONDENCE AND DOCS
1368002 RB 595.00 $178.50
0.3
7/5/2011
ANALYSIS OF GENZYME CLAIM ORDER
1368014 RB 595.00 $59.50 0.1
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Page #
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
7/5/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE CLAIMS UPDATE AND PREPARE RESPONSE
1361138 TMA 495.00 $198.00 0.4
7/5/2011
RESEARCH REGARDING PROCEDURE FOR OBJECTING TO BECKMAN'S ORDER ON MOTION FOR
THE ALLOWANCE OF ADMINISTRATIVE CLAIM
1362436 TMA 495.00 $99.00
0.2
7/5/2011
PREPARATION OF OBJECTION TO BECKMAN'S ORDER ON MOTION FOR THE ALLOWANCE OF
ADMINISTRATIVE CLAIM AND PREPARE ALTERNATIVE PROPOSED ORDER
1362437 TMA 495.00 $891.00 1.8
7/6/2011
ANALYSIS OF OBJECTION TO MOTION OF BECKMAN COULTER, INC. FOR ALLOWANCE AND
PAYMENT OF ADMINISTRATIVE EXPENSE CLAIM
1370758 JLJ 495.00 $99.00 0.2
7/6/2011
EMAIL RE: STIPULATION BETWEEN ESOTERIX GENETIC LABORATORIES, LLC AND DEBTORS
1370941 JLJ 495.00 $99.00
0.2
7/6/2011
ANALYSIS OF CLAIMS OBJECTIONS AND RELATED ISSUES
1368030 RB 595.00 $119.00 0.2
7/6/2011
ANALYSIS OF ESOTERIX CLAIM STIP
1368037 RB 595.00 $59.50 0.1
7/6/2011
ANALYSIS OF CORRESPONDENCE FROM DESCRATES COUNSEL RE CLAIM AND RESOLUTION RE
SAME AND RESPOND
1362944 TMA 495.00 $49.50
0.1
7/7/2011
ANALYSIS OF CAMBRIDGE CLAIM DISPUTE ISSUES AND MULTIPLE RELATED EMAILS AND
CORRESPONDENCE
1368051 RB 595.00 $178.50 0.3
7/7/2011
ANALYSIS OF CLAIMS ISSUES
1368065 RB 595.00 $59.50 0.1
7/7/2011
ANALYSIS OF EMAIL FROM CAMBRIDGE RE ALLEGED TORTIOUS CONDUCT UNDERLYING A
PORTION OF ITS CLAIM
1363144 TMA 495.00 $247.50
0.5
7/7/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE PROPOSED CAMBRIDGE COUNTEROFFER
1363145 TMA 495.00 $99.00 0.2
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
7/7/2011
PREPARATION OF CORRESPONDENCE TO CAMBRIDGE RE CLAIMS AND PROPOSED SETTLEMENT
1363229 TMA 495.00 $99.00 0.2
7/11/2011
ANALYSIS OF EMAIL RE CONTINUANCE OF GENZYME CLAIM OBJECTION HEARING
1370890 JLJ 495.00 $99.00
0.2
7/11/2011
ANALYSIS OF CLAIMS ORDER
1368129 RB 595.00 $59.50 0.1
7/11/2011
ANALYSIS OF CORRESPONDENCE FROM C. WESBY COUNSEL RE STATUS OF CASE AND CLAIM
AND CALL RE SAME
1363922 TMA 495.00 $99.00 0.2
7/11/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE C. WESBY CLAIM, POSSIBLE INSURANCE
COVERAGE, AND POSSIBLE RESOLUTION OF CLAIM BY RELIEF FROM STAY AND WAIVER OF
CLAIMS AGAINST THE ESTATE
1363986 TMA 495.00 $99.00
0.2
7/11/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE RECONCILIATION OF GENZYME CLAIMS
1364235 TMA 495.00 $99.00 0.2
7/15/2011
ANALYSIS OF ENTERED ORDER RE BECKHAM COULTER ADMINISTRATIVE CLAIM
1370779 JLJ 495.00 $99.00 0.2
7/15/2011
ANALYSIS OF CLAIMS ORDERS
1368198 RB 595.00 $119.00
0.2
7/15/2011
TELEPHONE CONFERENCE WITH WESBY COUNSEL RE STIPULATION FOR RELIEF FROM STAY AND
WAIVER OF CLAIMS
1365601 TMA 495.00 $49.50 0.1
7/15/2011
PREPARATION OF CORRESPONDENCE TO GENZYME RE PROPOSED RESOLUTION OF CLAIMS
1365618 TMA 495.00 $49.50 0.1
7/19/2011
TELEPHONE CONFERENCE WITH R. HERNANDEZ RE STATUS OF CASE AND CLAIMS
1366432 TMA 495.00 $49.50
0.1
7/19/2011
ANALYSIS OF WESBY CLAIMS AND PREPARE STIPULATION RE RELIEF FROM STAY AND WAIVER
OF CLAIMS AND ORDER THEREON
1366922 TMA 495.00 $396.00 0.8
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
7/20/2011
PREPARATION OF CORRESPONDENCE EMAIL WESBY COUNSEL RE STIPULATION RE RELIEF FROM
STAY AND WAIVER OF CLAIMS AND ORDER THEREON
1366924 TMA 495.00 $99.00 0.2
7/25/2011
ANALYSIS OF CAMBRIDGE CLAIM DISPUTE
1369345 RB 595.00 $119.00
0.2
7/26/2011
PREPARATION OF EMAIL EXCHANGE RE: CAMBRIDGE CLAIM DISPUTE AND POSSIBLE
RESOLUTION
1371313 RB 595.00 $119.00 0.2
7/26/2011
ANALYSIS OF CORRESPONDENCE FROM COUNSEL FOR ACE RE STIPULATION RE REZA ACCIDENT
AND RESPOND
1369324 TMA 495.00 $148.50 0.3
7/26/2011
ANALYSIS OF NAVARRO GARNISHMENT LETTER AND EMAIL OPP COUNSEL RE SAME
1369512 TMA 495.00 $99.00
0.2
7/27/2011
ANALYSIS OF EMAILS RE: CAMBRIDGE CLAIM DISPUTE
1371327 RB 595.00 $59.50 0.1
7/27/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE PROPOSED CAMBRIDGE SETTLEMENT
1369565 TMA 495.00 $49.50 0.1
7/27/2011
PREPARATION OF CORRESPONDENCE TO CAMBRIDGE RE PROPOSED SETTLEMENT OF CLAIM
1369608 TMA 495.00 $99.00
0.2
7/27/2011
PREPARATION OF CORRESPONDENCE TO M. SKINNER RE FACTS RE DESCARTES CLAIM
OBJECTION
1369609 TMA 495.00 $49.50 0.1
7/27/2011
PREPARATION OF CORRESPONDENCE TO DESCARTES COUNSEL RE OBJECTION TO CLAIM AND
RESOLUTION OF SAME
1369610 TMA 495.00 $99.00 0.2
7/27/2011
EMAILS WITH HEALTHNET RE ELIMINATION OF CLAIM
1369612 TMA 495.00 $49.50
0.1
07/28/2011
REUPLOAD ORDER RE: DEBTOR'S FIFTH OMNIBUS MOTION FOR ORDER DISALLOWING CLAIMS;
ANALYSIS OF EMAIL FROM CLERK OF THE COURT
1370371 LC 195.00 $19.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
7/29/2011
PREPARATION OF EMAIL EXCHANGE RE: ADM CLAIMS ISSUES AND BAR DATE
1371363 RB 595.00 $119.00 0.2
7/29/2011
ANALYSIS OF DESCARTES CLAIM AND EMAIL M. SKINNER RE SAME
1370564 TMA 495.00 $198.00
0.4
7/29/2011
EMAIL EXCHANGE WITH WESBY COUNSEL RE STIPULATION FOR RELIEF FROM STAY WITH
WAIVER OF CLAIMS
1371619 TMA 495.00 $49.50 0.1
7/29/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE WESBY STIPULATION FOR RELIEF FROM
STAY WITH WAIVER OF CLAIMS
1371620 TMA 495.00 $49.50 0.1
8/1/2011
ANALYSIS OF UPDATED CLAIMS CHARTS AND FURTHER CLAIM ISSUES
1377285 RB 595.00 $297.50
0.5
8/1/2011
ANALYSIS OF LABCORP AND RELATED CLAIMS ISSUES
1377293 RB 595.00 $59.50 0.1
8/1/2011
RESEARCH REGARDING STANDARD AND PROCEDURE FOR SETTING ADMINISTRATIVE CLAIMS
BAR DATES
1371694 TMA 495.00 $198.00 0.4
8/1/2011
PREPARATION OF NOTICE OF MOTION AND MOTION TO SET ADMINISTRATIVE CLAIMS BAR DATE
1371695 TMA 495.00 $792.00
1.6
8/1/2011
PREPARATION OF FORM NOTICE OF ADMINISTRATIVE CLAIMS BAR DATE
1371696 TMA 495.00 $148.50 0.3
8/1/2011
CONDUCT RECONCILIATION OF ALL CLAIMS
1371872 TMA 495.00 $1,188.00 2.4
8/1/2011
ANALYSIS OF SPECIALTY CLAIMS
1371876 TMA 495.00 $346.50
0.7
8/1/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE SPECIALTY CLAIM
1371878 TMA 495.00 $99.00 0.2
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
8/1/2011
ANALYSIS OF CORRESPONDENCE FROM RECY HERNANDEZ RE STATUS OF CASE AND CLAIM AND
RESPOND
1372369 TMA 495.00 $49.50 0.1
8/1/2011
ANALYSIS OF CORRESPONDENCE FROM ACE COUNSEL RE STIPULATION RE WAWANESA CLAIM
1372379 TMA 495.00 $49.50
0.1
8/1/2011
ANALYSIS OF CORRESPONDENCE FROM LABWEST COUNSEL RE INPUT FROM LABWEST
EMPLOYEES RE DESCARTES CLAIMS AND RESPOND
1372380 TMA 495.00 $49.50 0.1
8/2/2011
ANALYSIS OF CLAIMS ISSUES AND MULTIPLE RELATED CORRESPONDENCE
1377357 RB 595.00 $119.00 0.2
8/2/2011
ANALYSIS OF RANDY EMAIL RE: COMPUTATION OF GE DEFICIENCY CLAIM
1377376 RB 595.00 $59.50
0.1
8/2/2011
PREPARATION OF ADM CLAIMS BAR DATE MOTION AND NOTICE AND RELATED EMAIL
EXCHANGE
1377383 RB 595.00 $238.00 0.4
8/2/2011
ANALYSIS OF CORRESPONDENCE FROM GE RE OUTSTANDING CLAIM CALCULATION
1373071 TMA 495.00 $49.50 0.1
8/3/2011
PREPARATION OF ADM CLAIMS BAR DATE MOTION AND NOTICE
1377390 RB 595.00 $238.00
0.4
8/3/2011
ANALYSIS OF EDD TAX LEVY LETTER
1377401 RB 595.00 $59.50 0.1
8/3/2011
FINALIZE MOTION TO SET ADMINISTRATIVE CLAIMS BAR DATE
1373175 TMA 495.00 $99.00 0.2
8/3/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE MOTION TO SET ADMINISTRATIVE CLAIMS
BAR DATE
1373176 TMA 495.00 $49.50
0.1
8/4/2011
UPDATE SERVICE LISTS TO BE USED RE SERVICE OF NOTICE OF ADMINISTRATIVE CLAIMS BAR
DATE; ANALYSIS OF COURT'S MML, CLAIMS REGISTER AND OTHER SERVICE LISTS
1374077 LC 195.00 $390.00 2.0
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Page #
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
08/05/2011
PREPARATION OF MOTION TO ESTABLISH A BAR DATE FOR FILING ADMINISTRATIVE CLAIMS;
PREPARATION OF EXHIBIT, SERVICE LISTS, COPIES TO CHAMBERS
1374367 LC 195.00 $175.50 0.9
8/5/2011
CONTINUE UPDATING SERVICE LISTS (ABOUT 20) TO BE USED RE SERVICE OF NOTICE OF ADMIN
CLAIMS BAR DATE; REMOVE DUPLICATES, ETC.
1374368 LC 195.00 $390.00
2.0
8/5/2011
PREPARATION OF EMAIL EXCHANGE RE: CLAIM ISSUES
1377539 RB 595.00 $59.50 0.1
8/10/2011
UPDATE MML WITH COURT'S CLAIMS REGISTER CREDITORS ADDRESS INFORMATION (235
CLAIMS FILED IN WESTCLIFF) IN PREPARATION FOR SERVICE OF NOTICE OF ADMINISTRATIVE
CLAIMS BAR DATE
1375645 LC 195.00 $487.50 2.5
8/10/2011
ANALYSIS OF MULTIPLE CLAIM ISSUES
1377610 RB 595.00 $297.50
0.5
8/10/2011
ANALYSIS OF CORRESPONDENCE FROM CLAIMANT CHIAVATTI RE STATUS OF CASE AND CLAIM
AND RESPOND
1375262 TMA 495.00 $49.50 0.1
8/10/2011
ANALYSIS OF CORRESPONDENCE FROM LAB WEST COUNSEL RE DESCARTES CLAIM ISSUES AND
RESPOND
1375572 TMA 495.00 $49.50 0.1
8/10/2011
ANALYSIS OF CORRESPONDENCE FROM RIVERSIDE LLC RE ASSIGNMENT OF DIAGNOLAB CLAIMS
1375632 TMA 495.00 $49.50
0.1
8/11/2011
ANALYSIS OF EMAIL RE: ORDER RE: DEBTORS' FIFTH OMNIBUS MOTION FOR ORDER
DISALLOWING CLAIMS (EMPLOYEE CLAIMS)
1383021 JLJ 495.00 $49.50 0.1
8/11/2011
ANALYSIS OF EMAIL RE: PROOF OF CLAIM OF RIVERSIDE LLC
1383022 JLJ 495.00 $49.50 0.1
8/11/2011
ANALYSIS OF CLAIMS ISSUES
1377625 RB 595.00 $59.50
0.1
8/11/2011
ANALYSIS OF CLAIMS ORDER
1377627 RB 595.00 $59.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
8/11/2011
ANALYSIS OF ORDER ON FIFTH OMNIBUS OBJECTION TO CLAIMS
1375902 TMA 495.00 $49.50 0.1
8/11/2011
ANALYSIS OF AMENDED DIAGNOLAB CLAIM
1375924 TMA 495.00 $49.50
0.1
8/11/2011
EMAILS WITH RIVERSIDE RE ASSIGNED DIAGNOLAB CLAIM
1375925 TMA 495.00 $49.50 0.1
8/12/2011
ANALYSIS OF CLAIMS ISSUES
1377633 RB 595.00 $59.50 0.1
8/12/2011
ANALYSIS OF CORRESPONDENCE RE PAYMENTS ON GE CLAIMS AND BALANCE OWING
1375945 TMA 495.00 $49.50
0.1
8/12/2011
ANALYSIS OF CORRESPONDENCE FROM DESCARTES COUNSEL RE CLAIMS ISSUES AND RESPOND
1376122 TMA 495.00 $49.50 0.1
8/12/2011
PREPARATION OF CORRESPONDENCE TO M. LUBIC RE INTERVIEW OF WITNESSES RE DESCARTES
CLAIM
1376123 TMA 495.00 $495.00 1.0
8/12/2011
TELEPHONE CONFERENCE WITH PRIOR WESTCLIFF EMPLOYEES RE ALLEGED DESCARTES
CLAIMS
1376336 TMA 495.00 $148.50
0.3
8/15/2011
ANALYSIS OF EMAIL RE: AMENDED CLAIM OF AT&T
1383028 JLJ 495.00 $49.50 0.1
8/15/2011
ANALYSIS OF CLAIM DISPUTES AND MULTIPLE RELATED CORRESPONDENCE
1377675 RB 595.00 $119.00 0.2
8/15/2011
ANALYSIS OF CORRESPONDENCE FROM DESCARTES RE STATUS OF OBJECTION TO CLAIM AND
SETTLEMENT RE SAME AND RESPOND
1376629 TMA 495.00 $49.50
0.1
8/15/2011
SECOND AMENDED AT&T CLAIM
1376680 TMA 495.00 $49.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
8/15/2011
ANALYSIS OF EMAILS RE DESCARTES CLAIM
1376815 TMA 495.00 $198.00 0.4
8/15/2011
ANALYSIS OF CORRESPONDENCE FROM RUDY O'MURRY RE DESCARTES CLAIM ISSUES
1376856 TMA 495.00 $49.50
0.1
8/15/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE DESCARTES CLAIMS AND PROPOSED
SETTLEMENT RE SAME
1376857 TMA 495.00 $247.50 0.5
8/15/2011
PREPARATION OF CORRESPONDENCE TO DESCARTES COUNSEL RE CLAIM AND PROPOSED
SETTLEMENT RE SAM2
1376861 TMA 495.00 $99.00 0.2
8/16/2011
EMAIL RE: ENZYME GENETICS STIP ISSUE
1384292 JLJ 495.00 $49.50
0.1
8/16/2011
PREPARATION OF STIPULATION RESOLVING GENZYME CLAIMS AND ORDER; E-FILE/UPLOAD;
PREPARATION OF SERVICE LISTS, NOE AND COPIES TO CHAMBERS
1377214 LC 195.00 $136.50 0.7
8/16/2011
ANALYSIS OF GENZYME CLAIM STIP
1378783 RB 595.00 $59.50 0.1
8/16/2011
ANALYSIS OF CORRESPONDENCE FROM GENZYME RE RESOLUTION OF CLAIM OBJECTION
1377050 TMA 495.00 $49.50
0.1
8/16/2011
PREPARATION OF STIPULATION AND ORDER RESOLVING GENZYME CLAIMS
1377060 TMA 495.00 $396.00 0.8
8/16/2011
ANALYSIS OF CORRESPONDENCE FROM STATE COURT COUNSEL RE STATUS OF STIPULATION
RESOLVING WESBY CLAIM AND RESPOND
1377062 TMA 495.00 $49.50 0.1
8/16/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE STIPULATION RESOLVING WESBY CLAIM
1377063 TMA 495.00 $49.50
0.1
8/16/2011
EMAIL WITH OPP COUNSEL RE STIPULATION RESOLVING CLAIMS
1377066 TMA 495.00 $49.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
8/16/2011
PREPARATION OF CORRESPONDENCE TO INSURANCE COUNSEL RE SETTLEMENT STIPULATION
RE WAWARZIAN CLAIMS
1377160 TMA 495.00 $49.50 0.1
8/16/2011
ANALYSIS OF CORRESPONDENCE FROM GENZYME RE STIPULATION RESOLVING CLAIMS AND
RESPOND
1377183 TMA 495.00 $49.50
0.1
8/16/2011
FINALIZE STIPULATION AND ORDER RESOLVING GENZYME CLAIMS
1377191 TMA 495.00 $49.50 0.1
8/16/2011
ANALYSIS OF CORRESPONDENCE FROM OPP COUNSEL RE STIPULATION RESOLVING WESBY
CLAIM AND RESPOND AND EMAIL CLIENT RE SAME
1377688 TMA 495.00 $49.50 0.1
8/16/2011
ANALYSIS OF CORRESPONDENCE FROM INSURANCE COUNSEL RE STIPULATION RESOLVING
MINASYAN CLAIMS
1377689 TMA 495.00 $49.50
0.1
8/16/2011
FINALIZE STIPULATION AND ORDER RESOLVING MINASYAN CLAIMS
1377692 TMA 495.00 $99.00 0.2
8/17/2011
EMAILS RE: STIP WITH STATE FARM INSURANCE
1384296 JLJ 495.00 $49.50 0.1
8/17/2011
EMAILS RE: TRANSFER OF GENZYME CLAIM
1384334 JLJ 495.00 $49.50
0.1
8/17/2011
EMAILS RE: TRANSFER OF ESOTERIX CLAIM
1384339 JLJ 495.00 $49.50 0.1
8/17/2011
ANALYSIS OF CLAIM TRANSFERS
1378803 RB 595.00 $59.50 0.1
8/17/2011
TELEPHONE CONFERENCE WITH J. MCMULLIN RE EMPLOYEE CLAIMS AND COVERAGE FOR SAME
1377776 TMA 495.00 $247.50
0.5
8/19/2011
PREPARATION OF DECLARATION RE NON OPP AND ORDER RE MOTION TO ESTABLISH
ADMINISTRATIVE CLAIMS BAR DATE; ANALYSIS OF FILE AND COURT DOCKET
1378488 LC 195.00 $97.50 0.5
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
8/19/2011
ANALYSIS OF CLAIM TRANSFERS
1378840 RB 595.00 $59.50 0.1
8/19/2011
PREPARATION OF CORRESPONDENCE TO DESCARTES COUNSEL RE STATUS OF SETTLEMENT
1378441 TMA 495.00 $49.50
0.1
8/19/2011
ANALYSIS OF CORRESPONDENCE FROM WESBY COUNSEL RE CLAIMS SETTLEMENT ISSUES AND
RESPOND
1378443 TMA 495.00 $49.50 0.1
8/22/2011
EMAILS RE TRANSFER OF DIAGNOLAB CLAIM
1384428 JLJ 495.00 $49.50 0.1
8/22/2011
ANALYSIS OF CLAIMS ISSUES
1384206 RB 595.00 $59.50
0.1
8/22/2011
ANALYSIS OF FURTHER CLAIMS ISSUES
1384218 RB 595.00 $59.50 0.1
8/22/2011
ANALYSIS OF RIVERSIDE CLAIMS WITHDRAWAL OF CLAIM AND EMAIL OPP COUNSEL RE SAME
1379100 TMA 495.00 $49.50 0.1
8/23/2011
PREPARATION OF DECLARATION RE NON OPP AND ORDER TO ADMINISTRATIVE CLAIMS BAR
DATE MOTION (FINAL); E-FILE; PREPARATION OF EXHIBIT, SERVICE LISTS, NOE AND COPIES TO
CHAMBERS
1379525 LC 195.00 $97.50
0.5
8/23/2011
PREPARATION OF CORRESPONDENCE TO DESCARTES COUNSEL RE STATUS OF SETTLEMENT
1379358 TMA 495.00 $49.50 0.1
8/23/2011
ANALYSIS OF CORRESPONDENCE FROM RIVERSIDE CLAIMS RE DIAGNOLAB CLAIM ISSUES
1379363 TMA 495.00 $49.50 0.1
8/24/2011
ANALYSIS OF CLAIMS ISSUES
1384274 RB 595.00 $59.50
0.1
8/25/2011
ANALYSIS OF CORRESPONDENCE FROM SPECIALTY RE PROPOSED SETTLEMENT RE ADMIN
CLAIM AND REAPONS
1380252 TMA 495.00 $49.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
8/25/2011
REVIEW AND REVISE PROPOSED STIPULATION RE SPECIALTY ADMINISTRATIVE CLAIM
1380253 TMA 495.00 $198.00 0.4
8/26/2011
PREPARATION OF SPECIALTY CLAIM STIP AND RELATED EMAIL EXCHANGE
1384299 RB 595.00 $178.50
0.3
8/26/2011
ANALYSIS OF GENZYME CLAIM ORDER
1384310 RB 595.00 $59.50 0.1
8/26/2011
ANALYSIS OF CORRESPONDENCE FROM SPECIALTY RE STIPULATION RESOLVING
ADMINISTRATIVE CLAIM AND RESPOND
1380665 TMA 495.00 $49.50 0.1
8/26/2011
REVIEW AND REVISE STIPULATION RESOLVING SPECIALTY ADMINISTRATIVE CLAIM
1380666 TMA 495.00 $742.50
1.5
8/26/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE SPECIALTY CLAIM STIPULATION AND
RESPOND
1380667 TMA 495.00 $49.50 0.1
8/26/2011
PREPARATION OF STIP AND ORDER CONTINUING HEARING ON OBJECTION TO DESCARTES CLAIM
1380669 TMA 495.00 $99.00 0.2
8/26/2011
PREPARATION OF CORRESPONDENCE TO OPP COUNSEL RE STIP AND ORDER CONTINUING
HEARING ON OBJECTION TO DESCARTES CLAIM
1380887 TMA 495.00 $49.50
0.1
8/26/2011
ANALYSIS OF ORDER ON STIPULATION RESOLVING CLAIMS WITH STATE FARM AND
WAWRYSZYAN
1380991 TMA 495.00 $49.50 0.1
8/26/2011
ANALYSIS OF ORDER ON STIPULATION RESOLVING GENZYME CLAIMS
1381484 TMA 495.00 $49.50 0.1
8/28/2011
ANALYSIS OF DESCARTES CLAIM STIP
1384318 RB 595.00 $59.50
0.1
08/29/2011
PREPARATION OF STIPULATION AND ORDER TO CONTINUE OBJECTION TO DESCARTES' CLAIM; E-
FILE/UPLOAD; PREPARATION OF SERVICE LISTS, NOE AND COPIES TO CHAMBERS
1381574 LC 195.00 $136.50 0.7
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
8/29/2011
TELEPHONE CONFERENCE WITH CAMBRIDGE COUNSEL RE SETTLEMENT ISSUES
1381735 TMA 495.00 $49.50 0.1
8/30/2011
ANALYSIS OF CAMBRIDGE CLAIM SETTLEMENT
1384366 RB 595.00 $59.50
0.1
8/30/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE SPECIALTY CLAIM STIPULATION,
CAMBRIDGE CLAIM SETTLEMENT OFFERS, AND MOTION TO EXTEND FTI EMPLOYMENT
1382199 TMA 495.00 $99.00 0.2
8/30/2011
ANALYSIS OF NOTICES OF TRANSFER (4) OF GENZYME CLAIMS
1382202 TMA 495.00 $49.50 0.1
8/30/2011
PREPARATION OF CORRESPONDENCE TO DESCARTES COUNSEL RE CLAIMS RESOLUTION ISSUES
1382203 TMA 495.00 $49.50
0.1
8/30/2011
ANALYSIS OF NOTICE OF TRANSFER OF DIAGNOLAB CLAIMS
1382207 TMA 495.00 $49.50 0.1
8/31/2011
ANALYSIS OF CAMBRIDGE CLAIM DISPUTES AND POSSIBLE SETTLEMENT
1384400 RB 595.00 $59.50 0.1
8/31/2011
ANALYSIS OF SPECIALTY CLAIM ISSUES AND DISPUTES AND POSSIBLE RESOLUTION
1384420 RB 595.00 $238.00
0.4
8/31/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE PROPOSED SETTLEMENT OF CAMBRIDGE
CLAIM AND EMAIL OPPOSING COUNSEL RE SAME
1382634 TMA 495.00 $99.00 0.2
8/31/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE INSURANCE RE WESBY CLAIMS AND
RESPOND
1382635 TMA 495.00 $99.00 0.2
8/31/2011
ANALYSIS OF EMPLOYMENT PRACTICES COVERAGE RE STIPULATION TO RESOLVE WESBY
CLAIM AND EMAIL OPP COUNSEL RE SAME
1383131 TMA 495.00 $99.00
0.2
9/1/2011
ANALYSIS OF SPECIALTY CLAIMS DISPUTES
1393316 RB 595.00 $59.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
9/1/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT AND SPECIALTY RE PROPOSED SETTLEMENT RE
ADMINISTRATIVE CLAIM AND RESPOND
1383169 TMA 495.00 $148.50 0.3
9/2/2011
ANALYSIS OF CLAIMS ISSUES
1394331 RB 595.00 $119.00
0.2
9/6/2011
ANALYSIS OF MOTION TO PROTECT CUSTOMER INFORMATION IN PROOF OF CLAIM
1385223 TMA 495.00 $49.50 0.1
9/13/2011
ANALYSIS OF REVISED SPECIALTY CLAIMS STIPULATION AND EMAIL FROM OPPOSING COUNSEL
RE SAME AND RESPOND
1387669 TMA 495.00 $148.50 0.3
9/15/2011
ANALYSIS OF CLAIMS ORDERS AND RELATED MATTERS
1394744 RB 595.00 $119.00
0.2
9/15/2011
PREPARATION OF CORRESPONDENCE TO DESCARTES RE CLAIM AND SETTLEMENT ISSUES
1388548 TMA 495.00 $99.00 0.2
9/16/2011
ANALYSIS OF ORDER ON CLAIMS STIPULATION WITH BANDA, FLETCHER, AND ENTERPRISE
1389319 TMA 495.00 $49.50 0.1
9/19/2011
PREPARATION OF CORRESPONDENCE TO DESCARTES COUNSEL RE CLAIM SETTLEMENT
1389373 TMA 495.00 $148.50
0.3
9/19/2011
ANALYSIS OF CORRESPONDENCE FROM DESCARTES COUNSEL RE CLAIMS SETTLEMENT AND
RESPOND
1389648 TMA 495.00 $148.50 0.3
9/20/2011
ANALYSIS OF REVISED SPECIALTY ADMINISTRATIVE CLAIM STIPULATION AND EMAIL RE SAME
AND RESPOND
1389771 TMA 495.00 $198.00 0.4
9/20/2011
PREPARE STIPULATION AND ORDER FURTHER CONTINUING HEARING ON DESCARTES CLAIM
AND EMAIL OPP COUNSEL RE SAME
1389993 TMA 495.00 $198.00
0.4
9/20/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE PRIORITY CLAIM ISSUES AND RESPOND
1390093 TMA 495.00 $99.00 0.2
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
9/21/2011
ANALYSIS OF SPECIALTY CLAIM STIP
1394947 RB 595.00 $119.00 0.2
9/21/2011
ANALYSIS OF CORRESPONDENCE FROM SPECIALTY COUNSEL RE ADMINISTRATIVE CLAIM
STIPULATION AND RESPOND
1390309 TMA 495.00 $148.50
0.3
9/22/2011
ANALYSIS OF CREDITOR ISSUES
1394957 RB 595.00 $119.00 0.2
9/26/2011
ANALYSIS OF CLAIMS ISSUES
1395357 RB 595.00 $119.00 0.2
9/26/2011
ANALYSIS OF CAMBRIDGE CLAIM SETTLEMENT
1395365 RB 595.00 $59.50
0.1
9/26/2011
PREPARATION OF CAMBRIDGE CLAIM SETTLEMENT STIP AND RELATED CORRESPONDENCE
1395371 RB 595.00 $178.50 0.3
9/26/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE SKINNER ADMINISTRATIVE CLAIM AND
RESPOND
1391644 TMA 495.00 $99.00 0.2
9/26/2011
PREPARATION OF STIPULATION AND ORDER RECLASSIFYING SKINNER CLAIM IN PART
1391645 TMA 495.00 $594.00
1.2
9/26/2011
ANALYSIS OF VARIOUS MANAGEMENT AND WAGE CLAIMS IN PREPARATION FOR OMNIBUS
OBJECTION
1391646 TMA 495.00 $841.50 1.7
9/26/2011
TELEPHONE CONF. W/ OPP COUNSEL FOR CAMBRIDGE RE SETTLEMENT ISSUES
1391664 TMA 495.00 $99.00 0.2
9/26/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE CAMBRIDGE CLAIMS SETTLEMENT AND
RESPOND
1391696 TMA 495.00 $148.50
0.3
9/26/2011
PREPARATION OF CORRESPONDENCE TO WESBY COUNSEL RE STIPULATION RESOLVING CLAIMS
AND ISSUES RE SAME
1391802 TMA 495.00 $99.00 0.2
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
9/26/2011
PREPARATION OF STIPULATION AND ORDER RESOLVING CAMBRIDGE CLAIM
1391803 TMA 495.00 $1,138.50 2.3
9/27/2011
ANALYSIS OF WESBY CLAIM STIP AND RELATED EMAILS; CONF RE: SAME
1395389 RB 595.00 $178.50
0.3
9/27/2011
EMAILS WITH WESBY COUNSEL RE CLAIMS SETTLEMENT ISSUES
1392150 TMA 495.00 $99.00 0.2
9/27/2011
ANALYSIS OF OPEN ISSUES RE EMPLOYEE CLAIMS
1392157 TMA 495.00 $643.50 1.3
9/27/2011
TELEPHONE CONFERENCE WITH COUNSEL FOR CHARTIS RE PENDING WRONGFUL TERMINATION
CLAIMS
1392158 TMA 495.00 $198.00
0.4
09/28/2011
PREPARATION OF STIPULATION AND ORDER TO CONTINUE HEARING RE OBJECTION TO
DESCARTES CLAIM; E-FILE/UPLOAD; PREPARATION OF SERVICE LISTS AND NOE
1392862 LC 195.00 $117.00 0.6
9/28/2011
SET UP COURT TELEPHONIC APPEARANCE FOR DESCARTES HEARING FOR 09/28 (MULTI CALLS
AND E-MAILS)
1392863 LC 195.00 $39.00 0.2
9/28/2011
ANALYSIS OF CLAIMS ISSUES
1395401 RB 595.00 $119.00
0.2
9/28/2011
ANALYSIS OF CLAIMS TRANSFERS AND RELATED DOCS
1395402 RB 595.00 $119.00 0.2
9/28/2011
ANALYSIS OF MULTIPLE CLAIMS ISSUES
1395409 RB 595.00 $119.00 0.2
9/28/2011
PREPARE FOR AND APPEAR AT HEARING (TELEPHONICALLY) ON OBJECTION TO DESCARTES
CLAIM
1392739 TMA 495.00 $990.00
2.0
9/29/2011
ANALYSIS OF CLAIMS ISSUES
1396028 RB 595.00 $119.00 0.2
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
9/29/2011
ANALYSIS OF CLAIMS TRANSFERS
1396029 RB 595.00 $59.50 0.1
9/30/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE STIPULATION ADJUSTING VERNAGLIA CLAIM
AND RESPOND
1393335 TMA 495.00 $99.00
0.2
9/30/2011
PREPARATION OF STIPULATION ADJUSTING VERNAGLIA CLAIM AND ORDER THEREON
1393336 TMA 495.00 $198.00 0.4
10/3/2011
ANALYSIS OF MULTIPLE CLAIMS ASSIGNMENTS
1395424 TMA 495.00 $99.00 0.2
10/4/2011
ANALYSIS OF EMAIL RE: TRANSFER OF CLAIM NO. 27
1405156 JLJ 495.00 $49.50
0.1
10/4/2011
PREPARATION OF NOTICE RE DEADLINE TO FILE ADMINISTRATION EXPENSE PRIORITY CLAIMS
(FINAL); PREPARATION OF MULTIPLE SERVICE LISTS (20 LISTS) FOR SERVICE; REMOVE MULTIPLE
DUPLICATE ADDRESSES; ANALYSIS OF COURT'S MML
1396568 LC 195.00 $487.50 2.5
10/4/2011
ANALYSIS OF ADM CLAIM BAR DATE ORDER
1401884 RB 595.00 $59.50 0.1
10/4/2011
ANALYSIS OF CLAIM TRANSFERS
1401886 RB 595.00 $59.50
0.1
10/4/2011
ANALYSIS OF ORDER SETTING ADMINISTRATIVE CLAIMS BAR DATE
1396303 TMA 495.00 $49.50 0.1
10/4/2011
FINALIZE NOTICE OF ADMINISTRATIVE CLAIMS BAR DATE
1396304 TMA 495.00 $99.00 0.2
10/5/2011
ANALYSIS OF EMAIL RE: NOTICE REGARDING DEADLINE TO FILE REQUESTS FOR PAYMENT OF
ADMINISTRATIVE EXPENSE PRIORITY CLAIMS,
1397126 JLJ 495.00 $49.50
0.1
10/05/2011
PREPARATION OF NOTICE RE DEADLINE TO FILE ADMIN CLAIMS (FINAL); E-FILE; PREPARATION
OF COURTESY COPIES TO CHAMBERS, CALENDAR DEADLINE
1397278 LC 195.00 $97.50 0.5
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Page #
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
10/5/2011
PREPARATION OF ADM CLAIM BAR DATE NTC
1401899 RB 595.00 $59.50 0.1
10/5/2011
ANALYSIS OF EMAIL EXCHANGE WITH GE RE: CREDITOR PAYMENTS
1401910 RB 595.00 $59.50
0.1
10/5/2011
ANALYSIS OF CAMBRIDGE CLAIMS ISSUES
1401912 RB 595.00 $59.50 0.1
10/5/2011
ANALYSIS OF CLAIM TRANSFERS
1401925 RB 595.00 $59.50 0.1
10/5/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE CAMBRIDGE CLAIMS SETTLEMENT
STIPULATION AND RESPOND
1396783 TMA 495.00 $49.50
0.1
10/6/2011
ANALYSIS OF EMAIL RE: MIKE SKINNER CLAIM STIP
1406089 JLJ 495.00 $49.50 0.1
10/6/2011
PREPARATION OF STIPULATION AND ORDER RE: CLAIMS OF MIKE SKINNER; E-FILE/UPLOAD;
PREPARATION OF SERVICE LISTS AND NOE
1397546 LC 195.00 $136.50 0.7
10/6/2011
ANALYSIS OF FTB EMAIL RE: TAX ISSUES
1401938 RB 595.00 $59.50
0.1
10/6/2011
ANALYSIS OF CLAIMS ISSUES
1401939 RB 595.00 $59.50 0.1
10/6/2011
ANALYSIS OF CAMBRIDGE CLAIM DISPUTE AND POSSIBLE SETTLEMENT
1401943 RB 595.00 $119.00 0.2
10/6/2011
ANALYSIS OF WESBY CLAIM DISPUTE ISSUES AND PLANNING
1401949 RB 595.00 $178.50
0.3
10/6/2011
ANALYSIS OF NOTICE OF TRANSFER OF IMMUCOR CLAIM
1397259 TMA 495.00 $49.50 0.1
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Page #
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
10/6/2011
FINALIZE STIPULATION ADJUSTING MIKE SKINNER CLAIM AMOUNTS
1397260 TMA 495.00 $99.00 0.2
10/6/2011
EMAIL RE WESBY CLAIMS STIPULATION
1397329 TMA 495.00 $49.50
0.1
10/6/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE WESBY CLAIM STIPULATION ISSUES
1397380 TMA 495.00 $99.00 0.2
10/6/2011
TELEPHONE CONFERENCE WITH CLIENT AND INSURANCE COUNSEL RE WESBY CLAIM
STIPULATION ISSUES
1397440 TMA 495.00 $396.00 0.8
10/7/2011
ANALYSIS OF EMAIL RE; ENTERED AMENDED ORDER RE: BECKMAN COULTER, INC.'S MOTION
FOR ALLOWANCE AND PAYMENT OF ADMINISTRATIVE EXPENSE CLAIM
1406123 JLJ 495.00 $49.50
0.1
10/7/2011
ANALYSIS OF CLAIMS ISSUES
1401970 RB 595.00 $59.50 0.1
10/7/2011
ANALYSIS OF SPECIALTY SETTLEMENT ORDER
1401972 RB 595.00 $59.50 0.1
10/10/2011
ANALYSIS OF CLAIM ISSUES
1401993 RB 595.00 $59.50
0.1
10/11/2011
ANALYSIS OF EMAIL RE: TRANSFER OF CLAIM ISSUE
1406210 JLJ 495.00 $49.50 0.1
10/11/2011
ANALYSIS OF MULTIPLE CLAIM ISSUES
1401998 RB 595.00 $119.00 0.2
10/11/2011
ANALYSIS OF MULTIPLE CLAIM ISSUES
1402003 RB 595.00 $119.00
0.2
10/12/2011
TELEPHONE CONFERENCE WITH CITY OF BEVERLY HILLS RE CLAIMS BAR DATE ISSUES
1398894 TMA 495.00 $49.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
10/13/2011
ANALYSIS OF CAMBRIDGE CLAIM SETTLEMENT
1402042 RB 595.00 $59.50 0.1
10/13/2011
ANALYSIS OF CORRESPONDENCE FROM GENZYME RE CLAIMS ISSUES AND RESPOND
1399367 TMA 495.00 $49.50
0.1
10/13/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE VERNAGLIA CLAIM STIP
1399368 TMA 495.00 $49.50 0.1
10/13/2011
ANALYSIS OF TRANSFER OF INDEPENDENT COURIER CLAIM
1399401 TMA 495.00 $49.50 0.1
10/13/2011
ANALYSIS OF TRANSFER OF NEW HORIZONS CLAIM
1399407 TMA 495.00 $49.50
0.1
10/13/2011
ANALYSIS OF TRANSFER OF KEK SCIENTIFIC CLAIM
1399408 TMA 495.00 $49.50 0.1
10/13/2011
ANALYSIS OF ORDER RE SPECIALTY ADMINISTRATIVE CLAIM AND EMAIL CLAIMANT RE
PAYMENT PER ORDER
1399410 TMA 495.00 $99.00 0.2
10/13/2011
ANALYSIS OF ORDER ON BECKMAN CLAIMS
1399411 TMA 495.00 $49.50
0.1
10/13/2011
ANALYSIS OF FU FAMILY STATE COURT CLAIM
1399419 TMA 495.00 $49.50 0.1
10/14/2011
ANALYSIS OF EMAIL RE: STIPULATION BY SPECIALTY LABORATORIES, INC
1406329 JLJ 495.00 $49.50 0.1
10/14/2011
ANALYSIS OF DESCARTES CLAIM DISPUTE
1402068 RB 595.00 $59.50
0.1
10/14/2011
ANALYSIS OF SPECIALTY COURT RULING AND RELATED CORRESPONDENCE
1402071 RB 595.00 $59.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
10/14/2011
ANALYSIS OF CORRESPONDENCE FROM DESCARTES COUNSEL RE CLAIMS SETTLEMENT AND
EMAIL CLIENT RE SAME
1399533 TMA 495.00 $148.50 0.3
10/14/2011
PREPARATION OF CORRESPONDENCE TO DESCARTES RE CLAIMS SETTLEMENT
1399534 TMA 495.00 $99.00
0.2
10/14/2011
PREPARATION OF CORRESPONDENCE TO CHARTIS RE WESBY CLAIMS STIPULATION
1399582 TMA 495.00 $148.50 0.3
10/14/2011
ANALYSIS OF CORRESPONDENCE FROM GRIFOLS RE CLAIMS ISSUES AND RESPOND
1399599 TMA 495.00 $49.50 0.1
10/14/2011
EMAILS RE SPECIALTY ISSUES RE DISCLOSURE STATEMENT
1399600 TMA 495.00 $49.50
0.1
10/15/2011
ANALYSIS OF MULTIPLE CLAIMS ISSUES
1402081 RB 595.00 $119.00 0.2
10/17/2011
ANALYSIS OF EMALL RE: PROOF OF CLAIM OF FTB
1406392 JLJ 495.00 $49.50 0.1
10/17/2011
ANALYSIS OF CAMBRIDGE CLAIM ISSUES AND POSSIBLE SETTLEMENT
1402114 RB 595.00 $59.50
0.1
10/17/2011
ANALYSIS OF SPECIALTY CLAIM ISSUES
1402115 RB 595.00 $119.00 0.2
10/17/2011
TELEPHONE CONF. W/ OPP COUNSEL FOR DESCARTES RE CLAIMS SETTLEMENT
1400245 TMA 495.00 $148.50 0.3
10/17/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE SPECIALTY CLAIM
1400369 TMA 495.00 $49.50
0.1
10/18/2011
ANALYSIS OF DESCARTES CLAIM DISPUTE
1402122 RB 595.00 $59.50 0.1
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Page #
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
10/18/2011
PREPARATION OF MULTIPLE EMAIL EXCHANGE RE: SPECIALTY CLAIM ISSUES; ANALYSIS OF FILE
RE: SAME
1402125 RB 595.00 $178.50 0.3
10/18/2011
ANALYSIS OF CORRESPONDENCE FROM DESCARTES RE CLAIMS SETTLEMENT AND RESPOND
AND EMAIL CLIENT RE SAME
1400401 TMA 495.00 $148.50
0.3
10/18/2011
EMAILS WITH CLIENT AND DESCARTES RE ACCEPTANCE OF SETTLEMENT OFFER RE DESCARTES
CLAIM
1400404 TMA 495.00 $49.50 0.1
10/18/2011
PREPARATION OF STIPULATION AND ORDER RESOLVING DESCARTES CLAIM
1400405 TMA 495.00 $297.00 0.6
10/19/2011
ANALYSIS OF CAMBRIDGE CLAIMS STIP AND RELATED EMAIL EXCHANGE
1402141 RB 595.00 $119.00
0.2
10/19/2011
ANALYSIS OF CORRESPONDENCE FORM DESCARTES COUNSEL RE CLAIMS SETTLEMENT
STIPULATION AND FINALIZE FOR FILING AND RESPOND
1400971 TMA 495.00 $99.00 0.2
10/19/2011
PREPARATION OF CORRESPONDENCE TO CAMBRIDGE COUNSEL RE CLAIMS SETTLEMENT
STIPULATION
1401040 TMA 495.00 $99.00 0.2
10/20/2011
PREPARATION OF STIPULATION AND ORDER RESOLVING OBJECTION TO CLAIM NO. 113 OF
DESCARTES; E-FILE/UPLOAD; PREPARATION OF SERVICE LISTS AND NOE
1401669 LC 195.00 $117.00
0.6
10/20/2011
ANALYSIS OF CLAIMS ISSUES; PREP OF RELATED EMAIL EXCHANGE
1402154 RB 595.00 $119.00 0.2
10/20/2011
ANALYSIS OF MULTIPLE CLAIMS ISSUES
1402159 RB 595.00 $119.00 0.2
10/25/2011
ANALYSIS OF MULTIPLE CLAIMS ISSUES
1404372 RB 595.00 $119.00
0.2
10/25/2011
ANALYSIS OF ADM CLAIMS AND PREP OF RELATED EMAIL EXCHANGE
1404380 RB 595.00 $178.50 0.3
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
10/25/2011
ANALYSIS OF MULTIPLE NEW PROOFS OF CLAIM AND CLAIM ASSIGNMENTS AND UPDATE
CLAIMS CHARTS
1402720 TMA 495.00 $1,089.00 2.2
10/25/2011
ANALYSIS OF HOLOGIC CLAIMS AND EMAIL HOLOGIC COUNSEL RE SAME
1402721 TMA 495.00 $148.50
0.3
10/27/2011
ANALYSIS OF ADM CLAIM ISSUES AND PREP OF RELATED EMAIL EXCHANGE
1406588 RB 595.00 $119.00 0.2
10/27/2011
TELEPHONE CONFERENCE WITH COUNSEL FOR VMR RE ADMINISTRATIVE CLAIM ISSUES
1403554 TMA 495.00 $99.00 0.2
10/27/2011
EMAILS WITH VMR RE ADMINISTRATIVE CLAIM ISSUES
1403557 TMA 495.00 $99.00
0.2
10/27/2011
EMAILS WITH HOLOGIC RE WITHDRAWAL OF ADMINISTRATIVE CLAIM
1403558 TMA 495.00 $49.50 0.1
10/27/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE WESBY CLAIM STIPULATION ISSUES AND
RESPOND
1403873 TMA 495.00 $99.00 0.2
10/27/2011
TELEPHONE CONFERENCE WITH CO COUNSEL RE WESBY CLAIM STIPULATION ISSUES
1403874 TMA 495.00 $49.50
0.1
10/28/2011
ANALYSIS OF VWR CLAIM DISPUTE AND RELATED DOCS AND CORRESPONDENCE
1406606 RB 595.00 $119.00 0.2
10/28/2011
ANALYSIS OF VWR CLAIM STIP
1406616 RB 595.00 $59.50 0.1
10/28/2011
ANALYSIS OF HOLOGIC CLAIM ISSUES
1406618 RB 595.00 $59.50
0.1
10/28/2011
ANALYSIS OF MULTIPLE CLAIMS ISSUES
1406625 RB 595.00 $119.00 0.2
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Page #
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
10/28/2011
ANALYSIS OF CORRESPONDENCE FROM WESBY COUNSEL RE CLAIMS STIPULATION AND
RESPOND
1404034 TMA 495.00 $49.50 0.1
10/28/2011
ANALYSIS OF CORRESPONDENCE FROM VRW RE ADMINISTRATIVE CLAIM AND RESPOND
1404039 TMA 495.00 $247.50
0.5
10/28/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE VRW ADMINISTRATIVE CLAIM
1404040 TMA 495.00 $99.00 0.2
10/28/2011
ANALYSIS OF ENVIRO-PAC ADMINISTRATIVE CLAIM
1404041 TMA 495.00 $148.50 0.3
10/28/2011
UPDATE CLAIMS CHARTS PER NUMEROUS NEW ASSIGNMENTS AND ADMINISTRATIVE CLAIMS
1404042 TMA 495.00 $940.50
1.9
10/31/2011
ANALYSIS OF SPECIALTY DISPUTES
1406637 RB 595.00 $59.50 0.1
10/31/2011
ANALYSIS OF LABCORP REQUEST FOR ADM CLAIM; PREP OF RELATED EMAIL EXCHANGE
1406650 RB 595.00 $238.00 0.4
10/31/2011
ANALYSIS OF NOTICE OF TRANSFER OF PRIDE CLAIM
1404614 TMA 495.00 $49.50
0.1
10/31/2011
ANALYSIS OF CORRESPONDENCE FROM SPECIALTY RE SETTLEMENT PAYMENT AND RESPOND
1404617 TMA 495.00 $49.50 0.1
10/31/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE SPECIALTY SETTLEMENT PAYMENT
1404618 TMA 495.00 $49.50 0.1
10/31/2011
ANALYSIS OF STIPULATION EXTENDING TIME FOR VWR TO FILE ADMINISTRATIVE CLAIM
1404619 TMA 495.00 $49.50
0.1
10/31/2011
ANALYSIS OF HOLOGIC NOTICE OF WITHDRAWAL OF ADMINISTRATIVE CLAIM
1404620 TMA 495.00 $49.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
10/31/2011
ANALYSIS OF AIRGAS PROOF OF ADMINISTRATIVE CLAIM
1404622 TMA 495.00 $99.00 0.2
10/31/2011
ANALYSIS OF C&L REFRIGERATION PROOF OF ADMINISTRATIVE CLAIM
1404623 TMA 495.00 $99.00
0.2
10/31/2011
CALLS AND EMAILS WITH VHTOORI RE ADMINISTRATIVE CLAIM AND ISSUES RE SAME
1405055 TMA 495.00 $247.50 0.5
10/31/2011
EMAILS WITH SPECIALTY COUNSEL RE SETTLEMENT PAYMENT
1405072 TMA 495.00 $49.50 0.1
10/31/2011
ANALYSIS OF CORRESPONDENCE FROM SPECIALTY RE ADMINISTRATIVE CLAIM PAYMENT
1405736 TMA 495.00 $49.50
0.1
11/1/2011
PREPARATION OF EMAIL EXCHANGE RE: SPECIALTY CLAIM ISSUES
1409915 RB 595.00 $59.50 0.1
11/1/2011
ANALYSIS OF MCDONALD ADM CLAIM AND PREP OF RELATED EMAIL EXCHANGE
1409923 RB 595.00 $178.50 0.3
11/1/2011
TELEPHONE CONFERENCE W/ CLIENT AND CORPORATE COUNSEL RE WESBY CLAIM AND
RELATED CLAIMS AND PROPOSED STIPULATIONS THEREON
1405741 TMA 495.00 $495.00
1.0
11/1/2011
PREPARATION OF CORRESPONDENCE TO CLIENT AND CORPORATE COUNSEL RE WESBY CLAIM
AND RELATED CLAIMS AND PROPOSED STIPULATIONS THEREON
1405742 TMA 495.00 $49.50 0.1
11/1/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE OPEN ISSUES AND RESPOND
1405916 TMA 495.00 $49.50 0.1
11/1/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE ADMINISTRATIVE CLAIMS OF SENIOR
MANAGEMENT AND ISSUES RE SAME
1405961 TMA 495.00 $99.00
0.2
11/2/2011
ANALYSIS OF VWR ADM CLAIM ISSUES
1409954 RB 595.00 $59.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
11/2/2011
ANALYSIS OF MCDONALD ADM CLAIM ISSUES
1409955 RB 595.00 $59.50 0.1
11/2/2011
EMAILS WITH VWR RE ADMINISTRATIVE CLAIM ISSUES
1406387 TMA 495.00 $49.50
0.1
11/2/2011
EMAILS WITH CLIENT AND SPECIALTY RE PAYMENT ON ADMINISTRATIVE CLAIM
1407144 TMA 495.00 $99.00 0.2
11/2/2011
ANALYSIS OF CORRESPONDENCE FROM COMMITTEE COUNSEL RE MCDONALD ADMINISTRATIVE
CLAIM AND RESPOND
1407217 TMA 495.00 $49.50 0.1
11/2/2011
ANALYSIS OF MCDONALD ADMINISTRATIVE CLAIM AND EMAIL CLAIMANT RE SAME
1407218 TMA 495.00 $99.00
0.2
11/3/2011
ANALYSIS OF DESCARTES CLAIM ORDER
1409972 RB 595.00 $59.50 0.1
11/3/2011
EMAILS RE PAYMENT TO SPECIALTY ON ADMINISTRATIVE CLAIM
1407321 TMA 495.00 $49.50 0.1
11/4/2011
ANALYSIS OF VWR ADM CLAIM ISSUES
1410058 RB 595.00 $59.50
0.1
11/4/2011
EMAILS WITH VRW RE ADMINISTRATIVE CLAIM ISSUES
1407609 TMA 495.00 $99.00 0.2
11/7/2011
ANALYSIS OF SUTTER COUNTY ADM CLAIM AND RELATED PLEADINGS
1410072 RB 595.00 $119.00 0.2
11/7/2011
ANALYSIS OF DICKINSON ADM CLAIM AND RELATED MATTERS
1410073 RB 595.00 $119.00
0.2
11/7/2011
ANALYSIS OF SKINNER STIP ORDER
1410076 RB 595.00 $59.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
11/7/2011
ANALYSIS OF VRW ADM CLAIM STIP AND RELATED EMAILS
1410083 RB 595.00 $119.00 0.2
11/7/2011
EMAILS WITH VRW RE ADMINISTRATIVE CLAIM ISSUES
1407618 TMA 495.00 $49.50
0.1
11/7/2011
ANALYSIS OF ORDER APPROVING DESCARTES CLAIMS STIPULATION AND UPDATE CLAIMS
CHART
1407630 TMA 495.00 $99.00 0.2
11/7/2011
ANALYSIS OF VRW ADMINISTRATIVE CLAIM
1407753 TMA 495.00 $396.00 0.8
11/7/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE VRW ADMINISTRATIVE CLAIM
1408020 TMA 495.00 $49.50
0.1
11/7/2011
PREPARATION OF CORRESPONDENCE TO OPP COUNSEL RE VRW CLAIMS
1408021 TMA 495.00 $49.50 0.1
11/7/2011
PREPARATION OF STIPULATION AND ORDER RESOLVING VRW CLAIMS
1408023 TMA 495.00 $891.00 1.8
11/7/2011
ANALYSIS OF ORDER ADJUSTING SKINNER CLAIMS
1408069 TMA 495.00 $49.50
0.1
11/8/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE STIPULATION RE KIP VERNAGLIA CLAIMS
1408187 TMA 495.00 $49.50 0.1
11/8/2011
PREPARATION OF CORRESPONDENCE TO CLIENT AND CORPORATE COUNSEL RE WESBY CLAIM
STIPULATION
1408188 TMA 495.00 $49.50 0.1
11/8/2011
EMAILS WITH CORPORATE COUNSEL RE WESBY CLAIM STIPULATION
1408192 TMA 495.00 $49.50
0.1
11/8/2011
PREPARATION OF CORRESPONDENCE TO WESBY COUNSEL RE WESBY CLAIM STIPULATION
1408193 TMA 495.00 $49.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
11/8/2011
FINALIZE WESBY CLAIM STIPULATION AND ORDER
1408210 TMA 495.00 $99.00 0.2
11/8/2011
PREPARATION OF CORRESPONDENCE TO SPECIALTY RE CLAIMS SETTLEMENT STIPULATION
1408266 TMA 495.00 $49.50
0.1
11/8/2011
EMAILS WITH CAMBRIDGE COUNSEL RE CLAIMS STIPULATION
1408588 TMA 495.00 $49.50 0.1
11/9/2011
ANALYSIS OF CLAIMS ISSUES
1410136 RB 595.00 $119.00 0.2
11/9/2011
EMAILS WITH MCDONALD COUNSEL RE WAIVER OF ADMINISTRATIVE CLAIM AND STIPULATION
TO DISALLOW OTHER CLAIMS
1409097 TMA 495.00 $99.00
0.2
11/10/2011
ANALYSIS OF VERNAGLIA CLAIM STIP AND RELATED EMAILS
1410148 RB 595.00 $119.00 0.2
11/10/2011
ANALYSIS OF VWR STIP ORDER
1410149 RB 595.00 $59.50 0.1
11/10/2011
EMAILS RE MULTIPLE ADMINISTRATIVE CLAIMS
1409173 TMA 495.00 $99.00
0.2
11/10/2011
ANALYSIS OF SUTTER COUNTY ADMINISTRATIVE CLAIM
1409428 TMA 495.00 $99.00 0.2
11/10/2011
ANALYSIS OF BECTON DICKINSON / TRIPATH ADMINISTRATIVE CLAIMS
1409429 TMA 495.00 $148.50 0.3
11/10/2011
ANALYSIS OF LAB CORP ADMINISTRATIVE CLAIM
1409430 TMA 495.00 $148.50
0.3
11/10/2011
ANALYSIS OF SUBBELT ADMINISTRATIVE CLAIM
1409432 TMA 495.00 $99.00 0.2
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
11/11/2011
ANALYSIS OF S&I TRUST ADM CLAIM AND RELATED CORRESPONDENCE
1410191 RB 595.00 $119.00 0.2
11/11/2011
ANALYSIS OF VENTURA COUNTY TAX CLAIM
1409774 TMA 495.00 $49.50
0.1
11/11/2011
ANALYSIS OF SURENDER VUTHOORI CLAIM
1409775 TMA 495.00 $49.50 0.1
11/11/2011
PREPARATION OF CORRESPONDENCE TO LAB WEST RE S&I TRUST ISSUES
1409776 TMA 495.00 $148.50 0.3
11/12/2011
ANALYSIS OF CLAIMS ISSUES
1410200 RB 595.00 $119.00
0.2
11/14/2011
ANALYSIS OF S&I TRUST CLAIM ISSUES AND RELATED CORRESPONDENCE
1411565 RB 595.00 $119.00 0.2
11/14/2011
ANALYSIS OF CORRESPONDENCE FROM LABWEST RE S&I TRUST ADMINISTRATIVE CLAIM
1410658 TMA 495.00 $49.50 0.1
11/15/2011
PREPARATION OF STIPULATION AND ORDER RESOLVING CLAIMS WITH VWR INTERNATIONAL
(FINAL); E-FILE/UPLOAD; PREPARATION OF SERVICE LISTS AND NOE
1411269 LC 195.00 $117.00
0.6
11/15/2011
ANALYSIS OF S&I TRUST ADM CLAIM ISSUES AND RELATED CORRESPONDENCE
1411726 RB 595.00 $59.50 0.1
11/15/2011
ANALYSIS OF VWR CLAIM STIP
1411730 RB 595.00 $59.50 0.1
11/15/2011
ANALYSIS OF MULTIPLE CLAIMS ISSUES
1411734 RB 595.00 $119.00
0.2
11/15/2011
ANALYSIS OF GENZYME CLAIM ISSUES
1411735 RB 595.00 $59.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
11/15/2011
TELEPHONE CONFERENCE WITH AND EMAIL TO J. ARGENTINA RE VRW ADMINISTRATIVE CLAIM
AND STIPULATION RE SAME
1410852 TMA 495.00 $99.00 0.2
11/15/2011
FINALIZE VRW CLAIM STIPULATION
1410853 TMA 495.00 $99.00
0.2
11/15/2011
ANALYSIS OF AMENDED ESOTERIX/GENZYME CLAIMS 22, 24, 222 AND 223
1411085 TMA 495.00 $99.00 0.2
11/15/2011
PREPARATION OF CORRESPONDENCE TO OPP COUNSEL RE AMENDED ESOTERIX/GENZYME
CLAIMS 22, 24, 222 AND 223
1411086 TMA 495.00 $49.50 0.1
11/17/2011
ANALYSIS OF CLAIMS ISSUES
1412608 RB 595.00 $119.00
0.2
11/18/2011
ANALYSIS OF CLAIMS ORDER
1412621 RB 595.00 $59.50 0.1
11/18/2011
ANALYSIS OF ORDER APPROVING VERNAGLIA CLAIM STIP
1412631 RB 595.00 $59.50 0.1
11/18/2011
ANALYSIS OF ADMINISTRATIVE CLAIMS; PREP OF RELATED EMAIL EXCHANGE
1412632 RB 595.00 $297.50
0.5
11/18/2011
ANALYSIS OF CORRESPONDENCE FROM RB RE STATUS OF ADMINISTRATIVE CLAIMS AND
RESPOND
1412298 TMA 495.00 $49.50 0.1
11/18/2011
ANALYSIS OF NEW ADMINISTRATIVE CLAIMS AND PREPARE REVISED ESTIMATION CHART FOR
DISCLOSURE STATEMENT
1412300 TMA 495.00 $1,237.50 2.5
11/19/2011
ANALYSIS OF MULTIPLE CLAIM ISSUES
1413646 RB 595.00 $119.00
0.2
11/19/2011
ANALYSIS OF ORDER ON STIPULATION RESOLVING VERNAGLIA CLAIMS
1412578 TMA 495.00 $49.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
11/21/2011
PREPARATION OF EMAIL EXCHANGE RE: CLAIMS ISSUES
1413689 RB 595.00 $119.00 0.2
11/22/2011
ANALYSIS OF ISAAC EMAIL RE: QIAGEN CLAIM DISPUTE
1413699 RB 595.00 $59.50
0.1
11/22/2011
ANALYSIS OF CLAIMS DISPUTES AND MULTIPLE RELATED CORRESPONDENCE
1413704 RB 595.00 $119.00 0.2
11/22/2011
EMAILS WITH LAW OFFICES OF CHARLES FERRARI RE WD OF ADMIN CLAIM
1413555 TMA 495.00 $49.50 0.1
11/23/2011
ANALYSIS OF CLAIMS ISSUES AND PREP OF RELATED EMAIL EXCHANGE
1414631 RB 595.00 $119.00
0.2
11/29/2011
ANALYSIS OF QIGAN CLAIM AND CALL OPPOSING COUNSEL RE SAME
1415461 TMA 495.00 $99.00 0.2
11/29/2011
CALLS AND EMAIL WITH M. PAKKALA RE SENIOR MANAGEMENT CLAIMS
1415667 TMA 495.00 $148.50 0.3
119.8
Total $56,891.00
FEE / EMPLOYMENT APPLICATIONS 07 -
6/1/2011
PREPARATION OF CORRESPONDENCE TO K&E RE FEE APPLICATION ISSUES
1349951 TMA 495.00 $49.50 0.1
6/6/2011
PREPARATION OF MULTIPLE EMAIL EXCHANGE RE: FEE APP ISSUES AND PLANNING
1353403 RB 595.00 $119.00
0.2
6/6/2011
ANALYSIS OF MTS FEE APP AND RELATED EMAILS
1353409 RB 595.00 $119.00 0.2
6/6/2011
ANALYSIS OF CORRESPONDENCE RE FEE APPLICATIONS AND RESPOND
1351261 TMA 495.00 $99.00 0.2
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
6/6/2011
ANALYSIS OF CORRESPONDENCE FROM MTS RE FEE APPLICATION AND RESPOND
1351289 TMA 495.00 $99.00 0.2
6/6/2011
PREPARATION OF SECOND INTERIM APPLICATION OF MTS
1351344 TMA 495.00 $445.50
0.9
6/6/2011
PREPARATION OF CORRESPONDENCE TO MTS AND CLIENT RE SECOND INTERIM APPLICATION OF
MTS
1351345 TMA 495.00 $49.50 0.1
6/6/2011
PREPARATION OF CORRESPONDENCE TO COMMITTEE COUNSEL RE OMNIBUS FEE APPLICATION
NOTICE
1351547 TMA 495.00 $49.50 0.1
6/6/2011
EMAIL EXCHANGE WITH CLIENT RE MTS FEE APPLICATION
1351548 TMA 495.00 $49.50
0.1
6/6/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE MTS FEE APPLICATION AND RESPOND
1351633 TMA 495.00 $99.00 0.2
6/6/2011
PREPARATION OF CORRESPONDENCE TO DECHERT RE MTS FEE APPLICATION
1351634 TMA 495.00 $49.50 0.1
6/7/2011
PREPARATION OF MULTIPLE EMAIL EXCHANGE RE: FEE APP ISSUES
1353444 RB 595.00 $119.00
0.2
6/7/2011
ANALYSIS OF MTS FEE APP AND MULTIPLE RELATED EMAILS
1353462 RB 595.00 $119.00 0.2
6/7/2011
ANALYSIS OF K&E FEE APP AND RELATED EMAILS
1353464 RB 595.00 $119.00 0.2
6/7/2011
ANALYSIS OF CORRESPONDENCE FROM COMMITTEE COUNSEL RE FEE APPLICATION NOTICE
INFORMATION AND EMAIL CLIENT RE SAME
1351704 TMA 495.00 $49.50
0.1
6/7/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE MTS FEE APPLICATION AND RESPOND
1351705 TMA 495.00 $49.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
6/7/2011
ANALYSIS OF CORRESPONDENCE FROM MTS RE FEE APPLICATION AND RESPOND
1351706 TMA 495.00 $99.00 0.2
6/7/2011
ANALYSIS OF CORRESPONDENCE FROM K&E RE FEE APPLICATION AND RESPOND
1351707 TMA 495.00 $99.00
0.2
6/7/2011
PREPARATION OF K&E'S THIRD INTERIM FEE APPLICATION
1351708 TMA 495.00 $1,138.50 2.3
6/7/2011
PREPARATION OF OMNIBUS NOTICE OF INTERIM FEE APPLICATIONS
1351709 TMA 495.00 $148.50 0.3
6/7/2011
PREPARATION OF MTS FEE APPLICATION AND FINALIZE FOR FILING
1351805 TMA 495.00 $99.00
0.2
6/7/2011
ANALYSIS OF CORRESPONDENCE FROM C&B RE PAYMENT OF FEES AND EXPENSES AND
RESPOND
1351807 TMA 495.00 $99.00 0.2
6/7/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE PAYMENT OF C&B FEES AND EXPENSES AND
RESPOND
1351808 TMA 495.00 $99.00 0.2
6/8/2011
PREPARATION OF FEE APP FROM 12/1/2010 THROUGH 5/31, 2011
1352147 JK 195.00 $39.00
0.2
6/8/2011
ANALYSIS OF EMAIL RE: APPLICATION FOR COMPENSATION THIRD INTERIM APPLICATION OF
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P. FOR APPROVAL OF FEES AND REIMBURSEMENT OF
EXPENSES;
1361595 JLJ 495.00 $49.50 0.1
6/8/2011
ANALYSIS OF EMAIL RE: APPLICATION FOR COMPENSATION THIRD INTERIM APPLICATION OF
KIRKLAND & ELLIS LLP FOR APPROVAL OF FEES AND REIMBURSEMENT OF EXPENSES;
1361597 JLJ 495.00 $49.50 0.1
6/8/2011
ANALYSIS OF EMAIL RE: APPLICATION FOR COMPENSATION SECOND INTERIM APPLICATION OF
MTS HEALTH PARTNERS, L.P. FOR REIMBURSEMENT OF EXPENSES
1361598 JLJ 495.00 $49.50
0.1
6/8/2011
ANALYSIS OF EMAIL RE: APPLICATION FOR COMPENSATION THIRD INTERIM FEE APPLICATION
FOR ALLOWANCE AND PAYMENT OF PROFESSIONAL FEES AND REIMBURSEMENT OF EXPENSES
AS COUNSEL FOR THE OFFICIAL COMMITTEE OF UNSECURED CREDITORS
1361602 JLJ 495.00 $49.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
6/8/2011
PREPARATION OF THIRD INTERIM FEE APP FOR LNBYB AND NOTICE FOR ALL PROFESSIONALS;
ANALYSIS OF FILE RE: SAME
1353483 RB 595.00 $1,785.00 3.0
6/8/2011
ANALYSIS OF BUCHALTER FEE APP
1353513 RB 595.00 $119.00
0.2
6/8/2011
FINALIZE LNBYB, MTS, AND K&E FEE APPLICATIONS AND NOTICE THEREON
1352384 TMA 495.00 $346.50 0.7
6/8/2011
ANALYSIS OF THIRD INTERIM FEE APPLICATION OF BUCHALTER NEMER AND EMAIL CLIENT RE
SAME
1352386 TMA 495.00 $148.50 0.3
6/17/2011
EMAILS WITH CLIENT RE DECLARATION IN SUPPORT OF FEE APPLICATIONS
1355212 TMA 495.00 $49.50
0.1
6/21/2011
ANALYSIS OF EMAIL RE: DECLARATION RE: OF JONATHAN ISAAC IN SUPPORT OF BUCHALTER
NEMER'S THIRD INTERIM FEE APPLICATION
1362034 JLJ 495.00 $49.50 0.1
6/22/2011
ANALYSIS OF EMAIL RE: DECLARATION OF MATTHEW PAKKALA RE: (1) THIRD INTERIM
APPLICATION OF LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
1362107 JLJ 495.00 $49.50 0.1
6/22/2011
FINALIZE CLIENT DECLARATION IN SUPPORT OF FEE APPLICATIONS
1356995 TMA 495.00 $49.50
0.1
6/29/2011
PREPARATION OF FEE ORDER FOR ALL PROFESSIONALS AND RELATED EMAIL EXCHANGE;
ANALYSIS OF FILE
1360442 RB 595.00 $238.00 0.4
6/29/2011
ANALYSIS OF COURT MINUTE ORDERS ON FEE APPS
1360458 RB 595.00 $59.50 0.1
6/29/2011
PREPARE FOR AND APPEAR AT HEARING ON FEE APPLICATIONS
1359374 TMA 495.00 $1,683.00
3.4
6/29/2011
FINALIZE OMNIBUS FEE ORDER
1359375 TMA 495.00 $49.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
7/12/2011
ANALYSIS OF CORRESPONDENCE FROM MTS RE PAYMENT OF FEES AND RESPOND
1364480 TMA 495.00 $49.50 0.1
7/15/2011
EMAIL RE ALLOWANCE OF INTERIM FEES
1370775 JLJ 495.00 $99.00
0.2
7/15/2011
ANALYSIS OF FEE ORDER AND PREP OF RELATED EMAIL EXCHANGE
1368195 RB 595.00 $59.50 0.1
7/15/2011
ANALYSIS OF OMNIBUS ORDER ON INTERIM FEE APPLICATIONS
1365562 TMA 495.00 $49.50 0.1
7/15/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE PAYMENT OF PROFESSIONAL FEES PER
OMNIBUS ORDER ON INTERIM FEE APPLICATIONS
1365563 TMA 495.00 $49.50
0.1
8/29/2011
PREPARATION OF MOTION TO EXTEND THE EMPLOYMENT OF FTI/PAKKALA
1381499 TMA 495.00 $1,138.50 2.3
8/29/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE MOTION TO EXTEND THE EMPLOYMENT OF
FTI/PAKKALA
1381500 TMA 495.00 $49.50 0.1
8/30/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE MOTION TO EXTEND FTI EMPLOYMENT AND
RESPOND
1382470 TMA 495.00 $99.00
0.2
8/31/2011
ANALYSIS OF PAKKALA REVISIONS ON MOTION TO EXTEND FTI/PAKKALA EMPLOYMENT AND
EMAIL RE SAME, MAKE REVISIONS, RESPOND
1383113 TMA 495.00 $148.50 0.3
10/4/2011
ANALYSIS OF EMAILS RE: FEE ISSUES
1401880 RB 595.00 $59.50 0.1
10/4/2011
EMAILS RE PAYMENT OF COMMITTEE FEES
1396202 TMA 495.00 $49.50
0.1
10/11/2011
REVIEW JUDGE'S SELF CALENDAR PROCEDURES AND OBTAIN FEE APPLICATION HEARING DATE
1398400 LC 195.00 $19.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
10/11/2011
PREPARATION OF EMAIL EXCHANGE RE: FEE ISSUES
1402000 RB 595.00 $59.50 0.1
10/14/2011
OBTAIN FEE APP HEARING DATE
1399584 TMA 495.00 $49.50
0.1
10/14/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE CALLAHAN AND BLAIN FEE APP ISSUES AND
RESPOND
1399585 TMA 495.00 $49.50 0.1
10/18/2011
PREPARATION OF NOTICE TO PROFESSIONALS OF HEARING ON FEE APPLICATIONS; E-FILE;
PREPARATION OF SERVICE LISTS; CALENDAR DEADLINES
1400886 LC 195.00 $78.00 0.4
10/21/2011
ANALYSIS OF CORRESPONDENCE RE CALLAHAN AND BLAIN FEES AND FEE APP AND RESPOND
1401680 TMA 495.00 $49.50
0.1
10/25/2011
PREPARATION OF EMAIL EXCHANGE RE: FEE ISSUES
1404385 RB 595.00 $119.00 0.2
11/6/2011
EMAILS RE DECEMBER FEE APPLICATION HEARING
1407607 TMA 495.00 $49.50 0.1
11/15/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT (MULTI) RE C&B FEE ISSUES AND RESPOND
1411147 TMA 495.00 $99.00
0.2
11/15/2011
PREPARATION OF CORRESPONDENCE TO C&B RE FEE APPLICATION
1411148 TMA 495.00 $49.50 0.1
11/23/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE C&B FEE APPLICATION
1413822 TMA 495.00 $49.50 0.1
11/29/2011
PREPARATION OF LNBYB FIFTH INTERIM FEE APPLICATION; ANALYSIS OF FILE FOR PREP OF
SAME
1416251 RB 595.00 $2,082.50
3.5
11/30/2011
PREPARATION OF NOTICE OF FEE APPLICATIONS FOR ALL PROFESSIONALS; ANALYSIS OF FILE
FOR PREP OF SAME
1416252 RB 595.00 $416.50 0.7
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
11/30/2011
PREPARATION OF DECHERT/MTS FINAL FEE APPLICATION
1415945 TMA 495.00 $1,188.00 2.4
11/30/2011
EMAILS WITH C&B RE FEE APPLICATION ISSUES
1415947 TMA 495.00 $99.00
0.2
11/30/2011
PREPARATION OF C&B FEE APPLICATION
1415948 TMA 495.00 $1,633.50 3.3
31.4 Total $16,273.00
RELIEF FROM STAY 10 -
6/2/2011
ANALYSIS OF ORDER GRANTING MOTION FOR RELIEF FROM THE AUTOMATIC STAY ACTION IN
NON-BANKRUPTCY FORUM
1360356 JLJ 495.00 $49.50 0.1
6/2/2011
ANALYSIS OF RELIEF FROM STAY ORDER
1353350 RB 595.00 $59.50 0.1
6/3/2011
TELEPHONE CONFERENCE WITH INSURANCE DEFENSE COUNSEL RE CLAIRE OAKES RFS STIP
1350578 TMA 495.00 $49.50
0.1
6/9/2011
ANALYSIS OF CORRESPONDENCE FROM ACE RE RELIEF FROM STAY STIPULATION RE PAYMENT
OF INSURANCE TO WAWANESA
1352956 TMA 495.00 $99.00 0.2
6/15/2011
ANALYSIS OF EMAIL RE: STIPULATION BETWEEN DEBTORS AND VERONICA BANDA,
CHRISTOPHER LEROY FLETCHER, AND ENTERPRISE RENT-A-CAR COMPANY OF LOS ANGELES
PROVIDING FOR LIMITED MODIFICATION OF THE AUTOMATIC STAY TO PERMIT STATE COURT
1361812 JLJ 495.00 $49.50 0.1
6/15/2011
ANALYSIS OF AUTOMATIC STAY STIP W/RENTAL CAR COMPANY
1355531 RB 595.00 $59.50
0.1
8/15/2011
ANALYSIS OF CORRESPONDENCE EMAIL RE: NOTICE OF MOTION AND MOTION IN INDIVIDUAL
CASE FOR ORDER IMPOSING A STAY OR CONTINUING THE AUTOMATIC STAY AS THE COURT
DEEMS APPROPRIATE INSURANCE POLICY
1383076 JLJ 495.00 $49.50 0.1
8/15/2011
ANALYSIS OF ACE AMERICAN AUTOMATIC STAY PLEADINGS
1377674 RB 595.00 $119.00 0.2
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
8/16/2011
ANALYSIS OF MOTION FOR RELIEF FROM STAY BY ACE
1377141 JPF 375.00 $150.00 0.4
8/17/2011
TELEPHONE CONFERENCE WITH DEFENDANT A. MINCOYAN RE: STIPULATION ON RELIEF FROM
STAY
1377930 JPF 375.00 $37.50
0.1
8/17/2011
PREPARATION OF STIPULATION AND ORDER FOR RELIEF FROM STAY RE: INSURANCE COVERAGE
(RE ARTHUR MINCOYAN); E-FILE/UPLOAD; PREPARATION OF SERVICE LISTS, NOE AND COPIES TO
CHAMBERS
1377719 LC 195.00 $136.50 0.7
8/17/2011
ANALYSIS OF ACE STAY ISSUES
1378795 RB 595.00 $119.00 0.2
8/17/2011
ANALYSIS OF ACE MOTION FOR RELIEF FROM STAY
1377717 TMA 495.00 $99.00
0.2
8/17/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE ACE MOTION FOR RELIEF FROM STAY
1377718 TMA 495.00 $49.50 0.1
8/20/2011
ANALYSIS OF ACE RELIEF FROM STAY MATTERS
1384199 RB 595.00 $59.50 0.1
8/26/2011
EMAIL RE: ENTRY OF ORDER ON STIP FOR RELIEF FROM STAY
1384457 JLJ 495.00 $49.50
0.1
8/26/2011
ANALYSIS OF INSURANCE STIP ORDER
1384305 RB 595.00 $59.50 0.1
9/7/2011
ANALYSIS OF ACE RFS ISSUES
1394391 RB 595.00 $59.50 0.1
9/13/2011
ANALYSIS OF ACE RFS ISSUES
1394461 RB 595.00 $59.50
0.1
9/20/2011
ANALYSIS OF STAY ORDER
1394934 RB 595.00 $59.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
9/28/2011
ANALYSIS OF INSURANCE RFS ISSUES
1395411 RB 595.00 $59.50 0.1
10/6/2011
ANALYSIS OF ACE INSURANCE ISSUES
1401942 RB 595.00 $119.00
0.2
10/14/2011
ANALYSIS OF WESBY CLAIM AND STAY ISSUES AND RELATED DOCS AND CORRESPONDENCE
1402070 RB 595.00 $178.50 0.3
10/27/2011
PREPARATION OF EMAIL EXCHANGE RE: RFS ISSUES
1406584 RB 595.00 $119.00 0.2
10/31/2011
ANALYSIS OF ACE STAY PLEADING
1406649 RB 595.00 $119.00
0.2
11/4/2011
ANALYSIS OF ACE RFS ISSUES
1410057 RB 595.00 $119.00 0.2
11/8/2011
PREPARATION OF STIPULATION AND ORDER RE CYNTHIA WESBY'S RELIEF FROM THE
AUTOMATIC STAY (FINAL); E-FILE/UPLOAD; PREPARATION OF SERVICE LISTS AND NOE
1408278 LC 195.00 $117.00 0.6
11/8/2011
ANALYSIS OF WESBY CLAIM AND RFS ISSUES
1410095 RB 595.00 $59.50
0.1
11/8/2011
ANALYSIS OF ACE RFS MOTIONS AND RELATED EMAILS
1410096 RB 595.00 $238.00 0.4
11/8/2011
ANALYSIS OF ACE MOTION FOR RELIEF FROM STAY RE FAHKERI CLAIMS
1408189 TMA 495.00 $148.50 0.3
11/8/2011
ANALYSIS OF ACE MOTION FOR RELIEF FROM STAY RE FU/CHEN CLAIMS
1408190 TMA 495.00 $148.50
0.3
11/8/2011
PREPARATION OF CORRESPONDENCE TO CLIENT RE ACE MOTIONS FOR RELIEF FROM STAY RE
FAHKERI AND FU/CHEN CLAIMS
1408191 TMA 495.00 $49.50 0.1
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
11/8/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE ACE MOTIONS FOR RELIEF FROM STAY RE
FAHKERI AND FU/CHEN CLAIMS AND NON-OPP RE SAME
1408218 TMA 495.00 $49.50 0.1
6.4
Total $2,998.00
PLAN AND DISCLOSURE STATEMENT 12 -
6/1/2011
PREPARATION OF DISCLOSURE STATEMENT; ANALYSIS OF FILE
1353336 RB 595.00 $595.00 1.0
6/13/2011
ANALYSIS OF PLAN EXCLUSIVITY MTN
1355465 RB 595.00 $119.00
0.2
6/20/2011
PREPARATION OF DISCLOSURE STATEMENT; ANALYSIS OF FILE
1357162 RB 595.00 $892.50 1.5
6/20/2011
PREPARATION OF DISCLOSURE STATEMENT AND PLAN
1355962 TMA 495.00 $198.00 0.4
6/28/2011
ANALYSIS OF PLAN EXCLUSIVITY PLEADINGS AND RELATED EMAILS
1359423 RB 595.00 $119.00
0.2
7/1/2011
PREPARATION OF PRIORITY CLAIMS ANALYSIS FOR DISCLOSURE STATEMENT
1360262 TMA 495.00 $297.00 0.6
7/12/2011
ANALYSIS OF PLAN EXCLUSIVITY ORDER
1368143 RB 595.00 $59.50 0.1
7/21/2011
ANALYSIS OF PLAN ISSUES
1368551 RB 595.00 $238.00
0.4
7/26/2011
PREPARATION OF PRIORITY CLAIMS CHART FOR DISCLOSURE STATEMENT
1369322 TMA 495.00 $148.50 0.3
7/27/2011
PREPARATION OF DISCLOSURE STATEMENT; ANALYSIS OF FILE RE: SAME
1371324 RB 595.00 $2,380.00 4.0
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
7/27/2011
PREPARATION OF CLAIMS DATA FOR DISCLOSURE STATEMENT
1369611 TMA 495.00 $1,881.00 3.8
7/27/2011
ANALYSIS OF OPEN SECURED CLAIMS AND EMAIL RE SAME
1370159 TMA 495.00 $247.50
0.5
7/28/2011
ANALYSIS OF ASSET ALLOCATION STIPULATION TO DETERMINE REMAINING RIGHTS AND
CLAIMS OF SECURED LENDER FOR PLAN OF REORGANIZATION; PREP OF MULTIPLE RELATED
EMAIL EXCHANGE
1371348 RB 595.00 $595.00 1.0
7/28/2011
TELEPHONE CONFERENCE WITH LAURA RE: PLAN OF REORG ISSUES
1371350 RB 595.00 $178.50 0.3
7/28/2011
PREPARATION OF DISCLOSURE STATEMENT; ANALYSIS OF FILE AND MULTIPLE PLEADINGS AND
DOCS RE: SAME
1371362 RB 595.00 $3,867.50
6.5
7/28/2011
EMAILS RE GE CLAIMS CALCULATION AND DISTRIBUTION FOR PLAN PURPOSES
1370210 TMA 495.00 $99.00 0.2
7/28/2011
ANALYSIS OF CORRESPONDENCE MULTI RE INFORMATION FOR DISCLOSURE STATEMENT AND
PLAN
1370507 TMA 495.00 $198.00 0.4
7/29/2011
PREPARATION OF DISCLOSURE STATEMENT; ANALYSIS OF FILE; PREP OF RELATED EMAIL
EXCHANGE
1371364 RB 595.00 $2,975.00
5.0
7/29/2011
ANALYSIS OF CORRESPONDENCE RE DISCLOSURE STATEMENT AND RELATED ISSUES
1370565 TMA 495.00 $49.50 0.1
8/1/2011
ANALYSIS OF SPECIALTY AND OTHER CLAIMS FOR DISCLOSURE STATEMENT CLAIMS CHARTS;
PREP OF RELATED EMAIL EXCHANGE
1377291 RB 595.00 $476.00 0.8
8/1/2011
PREPARATION OF EMAIL TO GARFINKLE RE: DISCLOSURE STATEMENT ISSUES
1377292 RB 595.00 $59.50
0.1
8/1/2011
PREPARATION OF DISCLOSURE STATEMENT
1377683 RB 595.00 $297.50 0.5
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Page #
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
8/1/2011
PREPARATION OF CLAIMS EXHIBITS FOR DISCLOSURE STATEMENT
1371874 TMA 495.00 $1,485.00 3.0
8/1/2011
EMAILS WITH OCC RE DISCLOSURE STATEMENT AND PLAN ISSUES
1372367 TMA 495.00 $49.50
0.1
8/3/2011
PREPARATION OF EMAIL EXCHANGE RE: DISCLOSURE STATEMENT ISSUES
1377392 RB 595.00 $119.00 0.2
8/3/2011
EMAILS RE CLAIMS CHARTS FOR DISCLOSURE STATEMENT AND PLAN
1373174 TMA 495.00 $49.50 0.1
8/4/2011
PREPARATION OF EMAIL EXCHANGE RE: D/S ISSUES
1377521 RB 595.00 $59.50
0.1
8/4/2011
ANALYSIS OF CORRESPONDENCE FROM OCC RE DISCLOSURE STATEMENT ISSUES
1373866 TMA 495.00 $49.50 0.1
8/10/2011
PREPARATION OF EMAIL EXCHANGE RE: DISCLOSURE STATEMENT ISSUES
1377600 RB 595.00 $119.00 0.2
8/10/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE DISCLOSURE STATEMENT CLAIMS CHARTS
AND RESPOND
1374201 TMA 495.00 $49.50
0.1
8/11/2011
ANALYSIS OF DISCLOSURE STATEMENT ISSUES
1377628 RB 595.00 $297.50 0.5
8/11/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE CLAIMS ESTIMATIONS FOR DISCLOSURE
STATEMENT AND RESPOND
1375941 TMA 495.00 $49.50 0.1
8/11/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE DISCLOSURE STATEMENT ISSUES AND
RESPOND
1375942 TMA 495.00 $49.50
0.1
8/11/2011
CONTINUE PREPARING CLAIMS ESTIMATIONS AND CLAIMS EXHIBITS FOR DISCLOSURE
STATEMENT
1375943 TMA 495.00 $742.50 1.5
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
8/12/2011
ANALYSIS OF DISCLOSURE STATEMENT ISSUES
1377632 RB 595.00 $297.50 0.5
8/12/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE DISCLOSURE STATEMENT AND SALE ISSUES
1376128 TMA 495.00 $49.50
0.1
08/17/2011
REDLINE "WORK IN PROGRESS" OF DS; EMAIL SAME TO COUNSEL
1377710 LC 195.00 $19.50 0.1
8/17/2011
PREPARATION OF DISCLOSURE STATEMENT; ANALYSIS OF FILE FOR PREP OF SAME; PREP OF
RELATED EMAIL EXCHANGE
1378794 RB 595.00 $2,677.50 4.5
8/17/2011
PREPARATION OF AMENDED DISCLOSURE STATEMENT
1377693 TMA 495.00 $297.00
0.6
8/18/2011
PREPARATION OF DISCLOSURE STATEMENT AND EMAIL TO GARFINKLE RE: SAME
1378827 RB 595.00 $297.50 0.5
8/18/2011
PREPARATION OF JOINT PLAN OF REORGANIZATION
1378832 RB 595.00 $1,190.00 2.0
8/18/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT AND TO OCC COUNSEL RE DISCLOSURE
STATEMENT
1377981 TMA 495.00 $49.50
0.1
8/25/2011
PREPARATION OF EMAIL EXCHANGE RE: PLAN AND D/S ISSUES
1384283 RB 595.00 $59.50 0.1
8/30/2011
PREPARATION OF EMAIL EXCHANGE RE: DISCLOSURE STATEMENT ISSUES
1384372 RB 595.00 $119.00 0.2
9/2/2011
PREPARATION OF EMAIL EXCHANGE RE: D/S ISSUES
1394313 RB 595.00 $59.50
0.1
9/6/2011
PREPARATION OF EMAIL EXCHANGE RE: D/S ISSUES
1394346 RB 595.00 $119.00 0.2
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
9/6/2011
EMAIL EXCHANGE WITH OCC COUNSEL RE JOINT DISCLOSURE STATEMENT
1385503 TMA 495.00 $99.00 0.2
9/10/2011
PREPARATION OF EMAIL EXCHANGE RE: D/S AND PLAN ISSUES
1394425 RB 595.00 $59.50
0.1
9/13/2011
PREPARATION OF EXHIBITS TO DISCLOSURE STATEMENT; FORMAT MULTIPLE EXCEL
SPREADSHEETS TO FIT ON SIZE REQUIRED PER COURT RULES; PDF SAME
1388018 LC 195.00 $390.00 2.0
9/13/2011
PREPARATION OF PLAN OF REORGANIZATION AND DISCLOSURE STATEMENT AND OVERALL FILE
FOR SAME; REVIEW OF EXHIBITS
1394468 RB 595.00 $2,677.50 4.5
9/13/2011
CONTINUE PREPARING DISCLOSURE STATEMENT EXHIBITS
1387939 TMA 495.00 $742.50
1.5
09/14/2011
PREPARATION OF NOTICE OF MOTION AND MOTION TO APPROVE DISCLOSURE STATEMENT
(FINAL); E-FILE VIA ECF; PREPARATION OF MULTIPLE SERVICE LISTS (20 LISTS) FOR SERVICE
1388322 LC 195.00 $565.50 2.9
09/14/2011
PREPARATION OF DISCLOSURE STATEMENT AND PLAN (FINAL); E-FILE; PREPARATION OF TABLE
OF CONTENTS, EXHIBITS AND SERVICE LISTS
1388755 LC 195.00 $487.50 2.5
9/14/2011
PREPARATION OF FINAL VERSIONS OF PLAN OF REORGANIZATION, DISCLOSURE STATEMENT
AND NOTICE OF D/S HRG
1394712 RB 595.00 $1,487.50
2.5
9/14/2011
PREPARATION OF NOTICE OF MOTION AND MOTION TO APPROVE DISCLOSURE STATEMENT
1388219 TMA 495.00 $148.50 0.3
9/14/2011
PREPARATION OF CONTINUE PREPARING DISCLOSURE STATEMENT AND PLAN
1388220 TMA 495.00 $198.00 0.4
9/14/2011
EMAILS WITH CLIENT RE PROFESSIONAL FEE ESTIMATES FOR DISCLOSURE STATEMENT
1388221 TMA 495.00 $49.50
0.1
9/15/2011
PREPARATION OF EMAIL EXCHANGE RE: D/S AND PLAN ISSUES
1394732 RB 595.00 $119.00 0.2
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
9/21/2011
TELEPHONE CONFERENCE WITH SAN BERNARDINO COUNTY RE DISCLOSURE STATEMENT AND
PLAN AND EMAIL RE SAME
1390441 TMA 495.00 $49.50 0.1
9/22/2011
TELEPHONE CONFERENCE WITH LOS OSSOS RE DISCLOSURE STATEMENT
1390882 TMA 495.00 $49.50
0.1
9/22/2011
TELEPHONE CONFERENCE WITH JOE PODESTA RE DISCLOSURE STATEMENT ISSUES
1390883 TMA 495.00 $49.50 0.1
9/26/2011
TELEPHONE CONFERENCE WITH WHALEN RE: PLAN OF REORG ISSUES AND REVIEW
1395372 RB 595.00 $238.00 0.4
10/12/2011
PREPARATION OF EMAIL EXCHANGE RE: SPECIALTY ISSUES WITH D/S
1402015 RB 595.00 $119.00
0.2
10/14/2011
ANALYSIS OF SPECIALTY STIP
1402066 RB 595.00 $59.50 0.1
10/14/2011
TELEPHONE CONFERENCE W/ CLIENT RE DISCLOSURE STATEMENT, FEE APPLICATION AND
CLAIMS RESOLUTION ISSUES
1399529 TMA 495.00 $148.50 0.3
10/14/2011
ANALYSIS OF CORRESPONDENCE FROM SPECIALTY COUNSEL RE STIPULATION TO CONTINUE
DEADLINE TO RESPOND TO DISCLOSURE STATEMENT AND RESPOND
1399546 TMA 495.00 $99.00
0.2
10/17/2011
CONFERENCE CALL WITH SPECIALTY COUNSEL RE: PLAN AND DISCLOSURE STATEMENT ISSUES
AND CASE REVIEW
1402096 RB 595.00 $297.50 0.5
10/17/2011
PREPARE FOR MEETING AND MEETING WITH SPECIALTY COUNSEL RE ISSUES RE DISCLOSURE
STATEMENT
1400103 TMA 495.00 $346.50 0.7
10/17/2011
TELEPHONE CONFERENCE WITH CREDITOR RUSSELL CHANDTROO RE DISCLOSURE STATEMENT
AND ISSUES RE CLAIM
1400131 TMA 495.00 $99.00
0.2
10/17/2011
TELEPHONE CONFERENCE WITH CREDITOR MARK SALAZAR RE DISCLOSURE STATEMENT AND
ISSUES RE CLAIM
1400132 TMA 495.00 $99.00 0.2
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
10/17/2011
TELEPHONE CONFERENCE WITH CREDITOR INTRALINKS RE DISCLOSURE STATEMENT AND
ISSUES RE CLAIM
1400133 TMA 495.00 $49.50 0.1
10/19/2011
ANALYSIS OF SPECIALTY CHANGES TO D/S; PREP OF RELATED EMAIL EXCHANGE; ANALYSIS OF
D/S
1402137 RB 595.00 $238.00
0.4
10/19/2011
PREPARATION OF SPECIALTY PLAN VOTING RIGHTS STIPULATION AND RELATED EMAIL
EXCHANGE; ANALYSIS OF PLAN AND D/S RE: SAME
1402140 RB 595.00 $476.00 0.8
10/19/2011
ANALYSIS OF PROPOSED LANGUAGE FROM SPECIALTY TO RESOLVE ISSUES RE DISCLOSURE
SATATENT
1400990 TMA 495.00 $99.00 0.2
10/19/2011
EMAIL EXCHANGE WITH SPECIALTY COUNSEL RE STIPULATION RESOLVING ISSUES RE
DISCLOSURE STATEMENT
1400991 TMA 495.00 $99.00
0.2
10/20/2011
PREPARATION OF MULTIPLE EMAIL EXCHANGE RE: D/S ISSUES; ANALYSIS OF D/S AND PLAN
1402152 RB 595.00 $297.50 0.5
10/20/2011
PREPARATION OF PLAN OF REORG AND D/S
1402160 RB 595.00 $297.50 0.5
10/20/2011
EMAILS RE STIPULATION REGARDING SPECIALTIES PLAN VOTING RIGHTS AND RELATED ISSUES
1401408 TMA 495.00 $99.00
0.2
10/21/2011
PREPARATION OF PLAN AND DISCLOSURE STATEMENT AND MULTIPLE RELATED EMAIL
EXCHANGE
1404320 RB 595.00 $476.00 0.8
10/21/2011
ANALYSIS OF SPECIALTY PLAN STIP AND PREP OF RELATED EMAIL EXCHANGE
1404323 RB 595.00 $178.50 0.3
10/21/2011
ANALYSIS OF CORRESPONDENCE FROM SPECIALTY COUNSEL RE STIPULATION RE VOTING
RIGHTS
1401732 TMA 495.00 $49.50
0.1
10/23/2011
PREPARATION OF PLAN AND D/S AND RELATED EMAIL EXCHANGE
1404327 RB 595.00 $297.50 0.5
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
10/24/2011
PREPARATION OF STIPULATION AND ORDER RE PLAN VOTING RIGHTS FOR SPECIALTY (FINAL);
E-FILE/UPLOAD; PREPARATION OF SERVICE LISTS AND NOE
1402634 LC 195.00 $117.00 0.6
10/24/2011
PREPARATION OF MOTION AND ORDER TO CONTINUE DS HEARING (FINAL); E-FILE/UPLOAD;
PREPARATION OF SERVICE LISTS AND NOE; TELEPHONE CALL WITH CLERK OF THE COURT RE
SAME
1402635 LC 195.00 $117.00
0.6
10/24/2011
TELEPHONE CONFERENCE WITH GARFINKLE RE: REVIEW OF PLAN AND DISCLOSURE
STATEMENT
1404332 RB 595.00 $238.00 0.4
10/24/2011
PREPARATION OF SPECIALTY PLAN STIP AND RELATED EMAIL EXCHANGE AND APPROVAL
1404333 RB 595.00 $357.00 0.6
10/24/2011
PREPARATION OF MULTIPLE EMAIL EXCHANGE RE: PLAN ISSUES
1404339 RB 595.00 $178.50
0.3
10/24/2011
PREPARATION OF MTN TO CONTINUE D/S HRG AND RELATED EMAIL EXCHANGE
1404344 RB 595.00 $297.50 0.5
10/24/2011
EMAILS WITH SPECIALTY RE STIPULATION RE VOTING RIGHTS
1402172 TMA 495.00 $49.50 0.1
10/24/2011
ANALYSIS OF CORRESPONDENCE RE FINAL FEE AMOUNTS FOR SOLICITATION VERSION OF
DISCLOSURE STATEMENT AND PLAN
1402173 TMA 495.00 $49.50
0.1
10/24/2011
ANALYSIS OF MOTION TO CONTINUE HEARING ON DISCLOSURE STATEMENT
1402487 TMA 495.00 $49.50 0.1
10/24/2011
PREPARATION OF ORDER CONTINUING HEARING ON DISCLOSURE STATEMENT
1402488 TMA 495.00 $49.50 0.1
10/24/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE PROFESSIONAL FEE ESTIMATES FOR
DISCLOSURE STATEMENT
1402500 TMA 495.00 $49.50
0.1
10/25/2011
PREPARATION OF PLAN AND D/S AND RELATED EMAIL EXCHANGE
1404373 RB 595.00 $178.50 0.3
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
10/26/2011
APPEARANCE AT DISCLOSURE STATEMENT HEARING; ANALYSIS OF FILE RE: SAME; CONF W/MP
RE: SAME
1404396 RB 595.00 $3,213.00 5.4
10/26/2011
TELEPHONE CONFERENCE WITH RYAN BENNETT RE: D/S AND INSURANCE AND LITIGATION
MATTERS
1404408 RB 595.00 $238.00
0.4
10/27/2011
PREPARATION OF MULTIPLE EMAIL EXCHANGE RE: D/S ISSUES
1406583 RB 595.00 $119.00 0.2
10/27/2011
ANALYSIS OF CORRESPONDENCE FROM CORPORATE COUNSEL RE DISCLOSURE STATEMENT
ISSUES
1403549 TMA 495.00 $49.50 0.1
10/27/2011
ANALYSIS OF CORRESPONDENCE RE DISCLOSURE STATEMENT RELEASES
1403551 TMA 495.00 $49.50
0.1
11/1/2011
CONFERENCE CALL WITH BOARD MEMBERS RE: PLAN OF REORGANIZATION ISSUES AND CASE
REVIEW
1409934 RB 595.00 $238.00 0.4
11/7/2011
ANALYSIS OF D/S ORDER
1410077 RB 595.00 $59.50 0.1
11/7/2011
ANALYSIS OF ORDER CONTINUING DISCLOSURE STATEMENT HEARING
1408056 TMA 495.00 $49.50
0.1
11/17/2011
ANALYSIS OF ORDER APPROVING SPECIALTY PLAN VOTING RIGHTS AGREEMENT
1412599 RB 595.00 $59.50 0.1
11/18/2011
PREPARATION OF DISCLOSURE STATEMENT AND PREFERENCE SETTLEMENT PROTOCOL;
ANALYSIS OF FILE RE: SAME
1412633 RB 595.00 $2,380.00 4.0
11/18/2011
TELEPHONE CONFERENCE WITH MATT P RE: DISCLOSURE STATMEMENT ISSUES
1412634 RB 595.00 $119.00
0.2
11/21/2011
PREPARATION OF DISCLOSURE STATEMENT AND PREFERENCE PROTOCOL AND RELATED EMAIL
EXCHANGE; ANALYSIS OF FILE
1413668 RB 595.00 $1,487.50 2.5
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DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
11/21/2011
EMAILS WITH OCC COUNSEL RE AMENDED DISCLOSURE STATEMENT AND PREFERENCE ACTION
PROTOCALS
1412694 TMA 495.00 $49.50 0.1
11/21/2011
ANALYSIS OF AMENDED DISCLOSURE STATEMENT AND PREFERENCE ACTION PROTOCALS
1412793 TMA 495.00 $198.00
0.4
11/21/2011
ANALYSIS OF CORRESPONDENCE FROM SPECIALTY RE AMENDED DISCLOSURE STATEMENT
1412846 TMA 495.00 $49.50 0.1
11/22/2011
PREPARATION OF DISCLOSURE STATEMENT ISSUES
1413698 RB 595.00 $119.00 0.2
11/23/2011
PREPARATION OF MULTIPLE EMAIL EXCHANGE RE: D/S ISSUES AND PLANNING
1414638 RB 595.00 $178.50
0.3
11/23/2011
ANALYSIS OF WELCH EMAIL RE: COMMITTEE'S CHANGES TO DISCLOSURE STATEMENT;
ANALYSIS OF D/S
1414651 RB 595.00 $178.50 0.3
11/23/2011
EMAILS WITH SPECIALTY AND OCC COUNSEL RE AMENDED DISCLOSURE STATEMENT
1413621 TMA 495.00 $49.50 0.1
11/23/2011
ANALYSIS OF CORRESPONDENCE FROM SPECIALTY AND OCC COUNSEL RE AMENDED
DISCLOSURE STATEMENT
1413626 TMA 495.00 $49.50
0.1
11/28/2011
PREPARATION OF FIRST AMENDED DISCLOSURE STATEMENT (FINAL); E-FILE; PREPARATION OF
EXHIBITS, SERVICE LIST AND NOTIFICATION OF FILING AND COPIES TO CHAMBERS
1415139 LC 195.00 $487.50 2.5
11/28/2011
PREPARATION OF MULTIPLE EMAIL EXCHANGE RE: DISCLOSURE STATEMENT ISSUES; CONF
W/MP RE: SAME
1415845 RB 595.00 $297.50 0.5
11/28/2011
PREPARATION OF AMENDED DISCLOSURE STATEMENT AND MULTIPLE EXHIBITS AND PREP FOR
FILIG; ANALYSIS OF EXHIBITS AND PREP OF RELATED EMAIL EXCHANGE
1415846 RB 595.00 $1,785.00
3.0
11/28/2011
PREP OF AMENDED DISCLOSURE STATEMENT AND MULTIPLE CLAIMS EXHIBITS THERETO;
ANALYSIS OF CLAIMS AND FILE FOR PREP OF SAME
1414867 TMA 495.00 $1,980.00 4.0
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
11/30/2011 67
DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
11/28/2011
EMAILS WITH COMMITTEE COUNSEL RE PREFERENCE CLAIM PROTOCOLS
1415284 TMA 495.00 $99.00 0.2
11/28/2011
EMAILS WITH SPECIALTY COUNSEL RE AMENDED DISCLOSURE STATEMENT AND PLAN
1415340 TMA 495.00 $99.00
0.2
11/29/2011
PREPARATION OF AMENDED PLAN OF REORGANIZATION; ANALYSIS OF FILE
1415862 RB 595.00 $1,487.50 2.5
11/29/2011
ANALYSIS OF TENTATIVE RULING RE DISCLOSURE STATEMENT AND EMAIL FROM COMMITTEE
RE SAME
1415693 TMA 495.00 $49.50 0.1
11/30/2011
APPEARANCE AT DISCLOSURE STATEMENT HEARING
1416255 RB 595.00 $2,677.50
4.5
104.4 Total $55,288.00
OTHER LITIGATION 20 -
6/2/2011
ANALYSIS OF LETTER TO SHERIFF RE: LEVY ISSUES
1353355 RB 595.00 $59.50
0.1
6/2/2011
ANALYSIS OF GARNISHMENT ORDER
1353356 RB 595.00 $59.50 0.1
6/7/2011
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE PENDING ACTION AGAINST NATIONAL UNION
1351863 TMA 495.00 $49.50 0.1
6/8/2011
ANALYSIS OF CORRESPONDENCE RE PENDING TRANS UNION LITIGATION
1352423 TMA 495.00 $49.50
0.1
6/9/2011
ANALYSIS OF EMAIL EXCHANGE RE POTENTIAL BAD FAITH CLAIMS AGAINST NATIONAL UNION
1352600 TMA 495.00 $99.00 0.2
7/14/2011
ANALYSIS OF CORRESPONDENCE FROM STATE COURT COUNSEL RE C. WESBY LITIGATION AND
RESPOND
1365438 TMA 495.00 $49.50 0.1
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
11/30/2011 68
DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
7/14/2011
PREPARATION OF CORRESPONDENCE TO C. WESBY COUNSEL RE STIPULATION FOR RELIEF FROM
STAY IN EXCHANGE FOR A WAIVER OF CLAIMS
1365439 TMA 495.00 $49.50 0.1
8/3/2011
ANALYSIS OF LETTER TO SCHRIEFFER RE: DESCOVERY DISPUTES
1377412 RB 595.00 $59.50
0.1
8/5/2011
ANALYSIS OF ACQUINO LITIGATION NOTICE
1377546 RB 595.00 $59.50 0.1
8/9/2011
ANALYSIS OF AQUINO DISPUTE AND LITIGATION MATTERS
1377583 RB 595.00 $59.50 0.1
8/11/2011
ANALYSIS OF DOYLE LITIGATION MATTERS
1377629 RB 595.00 $119.00
0.2
8/16/2011
TELEPHONE CONFERENCE WITH STATE COURT CASE DEFENDANT RE: STAY AND STATE COURT
STATUS CONFERENCE
1377133 JPF 375.00 $75.00 0.2
8/16/2011
ANALYSIS OF STATE COURT STATUS CONFERENCE REPORT IN STATE FARM VS. MISOSYAN
1377140 JPF 375.00 $75.00 0.2
8/16/2011
ANALYSIS OF CT DISPUTES AND RELATED DOCS
1378785 RB 595.00 $119.00
0.2
8/30/2011
ANALYSIS OF CASE MANAGEMENT STATEMENT RE STATE FARM V. WESTCLIFF
1382201 TMA 495.00 $49.50 0.1
9/2/2011
EMAIL RE: MOTION FOR PROTECTIVE ORDER
1385784 JLJ 495.00 $49.50 0.1
9/2/2011
ANALYSIS OF ESOTERIX MTN FOR PROTECTIVE ORDER
1394330 RB 595.00 $178.50
0.3
9/28/2011
ANALYSIS OF LAB CORP REMOVAL OF LAWSUIT AND RELATED EMAILS
1395412 RB 595.00 $119.00 0.2
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
11/30/2011 69
DETAILED ACTIVITIES
6/1/2011
11/30/2011 To Date
From Date
9/29/2011
ANALYSIS OF NOTICE OF REMOVAL OF SUNAMERICA V. LABWEST ACTION
1392972 TMA 495.00 $99.00 0.2
10/27/2011
ANALYSIS OF MULTIPLE EMAILS RE: LABCORP DISPUTES
1406592 RB 595.00 $119.00
0.2
11/1/2011
ANALYSIS OF WESBY CLAIM AND COMPLAINT; CONF W/MP RE: SAME AND POSSIBLE
RESOLUTION
1409917 RB 595.00 $297.50 0.5
11/1/2011
ANALYSIS OF WESBY RFS STIP AND PREP OF RELATED EMAIL EXCHANGE
1409919 RB 595.00 $178.50 0.3
11/1/2011
CONFERENCE CALL WITH BOARD MEMBERS RE: REVIEW OF OUTSTANDING LITIGATION
MATTERS AND IMPACT ON ESTATE
1409933 RB 595.00 $357.00
0.6
11/3/2011
ANALYSIS OF PROTECTIVE ORDER ON PERSONAL DATA
1409973 RB 595.00 $59.50 0.1
11/5/2011
ANALYSIS OF PROTECTIVE ORDER
1410067 RB 595.00 $59.50 0.1
11/11/2011
ANALYSIS OF CORRESPONDENCE FROM OCC RE PREFERENCE ACTION AGAINST USPS AND
RESPOND AND EMAIL CLIENT RE SAME
1409680 TMA 495.00 $99.00
0.2
4.8 Total $2,648.00
MISCELLANEOUS 99 -
08/10/2011
PREPARATION OF EMAIL CORRESPONDENCE TO MATT PAKKALA ENCLOSING VERITEXT INVOICE
RE: TODD TOMAZIC'S DEPOSITION
1375834 LC 195.00 $19.50
0.1
09/20/2011
PREPARATION OF CORRESPONDENCE BY EMAIL TO C. PAULUS RE: RANDY ROGERS' REQUEST TO
BE ADDED TO EMAIL; ADVISE MS. PAULUS THAT MR. ROGERS HAS TO SIGN FOR ECF
NOTIFICATION (MULTIPLE EMAIL EXCHANGE)
1390036 LC 195.00 $39.00 0.2
0.3 Total $58.50
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ASSET ANALYSIS AND RECOVERY
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 6/1/2011 11/30/2011
INDIVIDUAL ACTIVITIES
11/30/2011 1 Page
01 -
RB 595.00 $833.00 1.4
TMA 495.00 $198.00 0.4
Total Hours
1.8 Total Fees $1,031.00
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ASSET DISPOSITION
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 6/1/2011 11/30/2011
INDIVIDUAL ACTIVITIES
11/30/2011 2 Page
02 -
JLJ 495.00 $49.50 0.1
TMA 495.00 $3,811.50 7.7
Total Hours
7.8 Total Fees $3,861.00
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BUSINESS OPERATIONS
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 6/1/2011 11/30/2011
INDIVIDUAL ACTIVITIES
11/30/2011 3 Page
03 -
JLJ 495.00 $49.50 0.1
RB 595.00 $2,261.00 3.8
TMA 495.00 $544.50 1.1
Total Hours
5.0 Total Fees
$2,855.00
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CASE ADMINISTRATION
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 6/1/2011 11/30/2011
INDIVIDUAL ACTIVITIES
11/30/2011 4 Page
04 -
JK 195.00 $39.00 0.2
JLJ 495.00 $297.00 0.6
LC 195.00 $741.00 3.8
RB 595.00 $4,105.50 6.9
TMA 495.00 $4,405.50 8.9
TRISH 125.00 $62.50 0.5
Total Hours
20.9 Total Fees
$9,650.50
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CLAIMS ADMIN. AND OBJECTIONS
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 6/1/2011 11/30/2011
INDIVIDUAL ACTIVITIES
11/30/2011 5 Page
05 -
AAF 435.00 $435.00 1.0
JLJ 495.00 $1,633.50 3.3
LC 195.00 $3,042.00 15.6
RB 595.00 $13,863.50 23.3
TMA 495.00 $37,917.00 76.6
Total Hours
119.8 Total Fees $56,891.00
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FEE / EMPLOYMENT APPLICATIONS
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 6/1/2011 11/30/2011
INDIVIDUAL ACTIVITIES
11/30/2011 6 Page
07 -
JK 195.00 $39.00 0.2
JLJ 495.00 $396.00 0.8
LC 195.00 $97.50 0.5
RB 595.00 $5,593.00 9.4
TMA 495.00 $10,147.50 20.5
Total Hours
31.4 Total Fees $16,273.00
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RELIEF FROM STAY
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 6/1/2011 11/30/2011
INDIVIDUAL ACTIVITIES
11/30/2011 7 Page
10 -
JLJ 495.00 $198.00 0.4
JPF 375.00 $187.50 0.5
LC 195.00 $253.50 1.3
RB 595.00 $1,666.00 2.8
TMA 495.00 $693.00 1.4
Total Hours
6.4 Total Fees $2,998.00
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PLAN AND DISCLOSURE STATEMENT
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 6/1/2011 11/30/2011
INDIVIDUAL ACTIVITIES
11/30/2011 8 Page
12 -
LC 195.00 $2,184.00 11.2
RB 595.00 $41,471.50 69.7
TMA 495.00 $11,632.50 23.5
Total Hours
104.4 Total Fees
$55,288.00
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OTHER LITIGATION
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 6/1/2011 11/30/2011
INDIVIDUAL ACTIVITIES
11/30/2011 9 Page
20 -
JLJ 495.00 $49.50 0.1
JPF 375.00 $150.00 0.4
RB 595.00 $1,904.00 3.2
TMA 495.00 $544.50 1.1
Total Hours
4.8 Total Fees $2,648.00
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MISCELLANEOUS
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 6/1/2011 11/30/2011
INDIVIDUAL ACTIVITIES
11/30/2011 10 Page
99 -
LC 195.00 $58.50 0.3
Total Hours
0.3 Total Fees $58.50
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
6/1/2011
11/30/2011
PROFESSIONAL ACTIVITY SUMMARY
11/30/2011
From Date
To Date
AAF 435.00
$435.00
1.0 @ Hours
JK 195.00 $78.00 0.4 @ Hours
JLJ 495.00 $2,673.00 5.4 @ Hours
JPF 375.00
$337.50
0.9 @ Hours
LC 195.00 $6,376.50 32.7 @ Hours
RB 595.00 $71,697.50 120.5 @ Hours
TMA 495.00
$69,894.00
141.2 @ Hours
TRISH 125.00 $62.50 0.5 @ Hours
Total Hours 302.6 Total Fees $151,554.00
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
From Date
To Date
6/1/2011
11/30/2011
ACTIVITY SUMMARY
11/30/2011
DESCRIPTION
FEES
ASSET ANALYSIS AND RECOVERY $1,031.00
ASSET DISPOSITION $3,861.00
BUSINESS OPERATIONS $2,855.00
CASE ADMINISTRATION $9,650.50
CLAIMS ADMIN. AND OBJECTIONS $56,891.00
FEE / EMPLOYMENT $16,273.00
RELIEF FROM STAY $2,998.00
PLAN AND DISCLOSURE $55,288.00
OTHER LITIGATION $2,648.00
MISCELLANEOUS $58.50
$151,554.00 TOTAL FEES
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EXHIBIT "B"





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CASE # 4367
COSTS BREAKDOWN
BIOLABS, INC./WESTCLIFF
11/30/2011
From Date
6/1/2011
To Date
11/30/2011
06/03/2011 20.80 MESSENGER SERVICE
06/06/2011 20.80 MESSENGER SERVICE
06/06/2011 20.80 MESSENGER SERVICE
06/03/2011 30.00 TELEPHONIC COURT APPEARANCE
06/10/2011 30.00 TELEPHONIC COURT APPEARANCE
06/27/2011 19.75 MESSENGER SERVICE
6/1/2011 16.18 MESSENGER SERVICE
06/02/2011 19.66 MESSENGER SERVICE
06/08/2011 21.58 MESSENGER SERVICE
6/9/2011 19.66 MESSENGER SERVICE
06/13/2011 16.18 MESSENGER SERVICE
06/15/2011 19.66 MESSENGER SERVICE
06/22/2011 30.00 TELEPHONIC COURT APPEARANCE
06/30/2011 798.20 REPRODUCTION COSTS
06/30/2011 106.60 POSTAGE
06/30/2011 16.49 FEDERAL EXPRESS
7/8/2011 57.00 ATTORNEY SERVICE COSTS
07/18/2011 19.66 MESSENGER SERVICE
07/19/2011 19.66 MESSENGER SERVICE
07/19/2011 12.70 MESSENGER SERVICE
07/19/2011 63.60 ATTORNEY SERVICE COSTS
07/19/2011 74.00 MESSENGER SERVICE
07/22/2011 14.96 COURT RESEARCH PACER
07/22/2011 9.36 COURT RESEARCH PACER
07/22/2011 1.60 COURT RESEARCH PACER
07/22/2011 0.32 COURT RESEARCH PACER
07/05/2011 12.54 MESSENGER SERVICE
07/06/2011 20.44 MESSENGER SERVICE
07/31/2011 65.40 REPRODUCTION COSTS
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CASE # 4367
COSTS BREAKDOWN
BIOLABS, INC./WESTCLIFF
11/30/2011
From Date
6/1/2011
To Date
11/30/2011
07/31/2011 5.40 POSTAGE
08/04/2011 17.18 MESSENGER SERVICE
08/31/2011 470.40 REPRODUCTION COSTS
08/31/2011 17.76 POSTAGE
09/08/2011 19.41 MESSENGER SERVICE
09/26/2011 1.00 MESSENGER SERVICE
09/30/2011 2,578.60 REPRODUCTION COSTS
09/30/2011 2,367.72 POSTAGE
09/15/2011 27.82 MESSENGER SERVICE
09/19/2011 15.97 MESSENGER SERVICE
09/28/2011 79.00 TELEPHONIC COURT APPEARANCE
10/18/2011 82.30 CONFERENCE CALL CHARGES
10/18/2011 49.79 CONFERENCE CALL CHARGES
10/19/2011 15.97 MESSENGER SERVICE
10/20/2011 2,381.52 POSTAGE
10/24/2011 36.16 COURT RESEARCH PACER
10/24/2011 2.96 COURT RESEARCH PACER
10/05/2011 24.09 MESSENGER SERVICE
10/31/2011 2,385.48 POSTAGE
11/14/2011 175.00 ATTORNEY SERVICE COSTS
11/18/2011 16.04 MESSENGER SERVICE
11/22/2011 5.63 WESTLAW RESEARCH
11/10/2011 23.54 MESSENGER SERVICE
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FILEE # 4367
COSTS SUMMARY
BIOLABS, INC./WESTCLIFF
11/30/2011
From Date
6/1/2011
To Date
11/30/2011
132.09
CONFERENCE CALL CHARGES
3,912.60
REPRODUCTION COSTS
16.49
FEDERAL EXPRESS
515.09
MESSENGER SERVICE
65.36
COURT RESEARCH PACER
7,264.48
POSTAGE
295.60
ATTORNEY SERVICE COSTS
169.00
TELEPHONIC COURT APPEARANCE
5.63
WESTLAW RESEARCH
$12,376.34 TOTAL COSTS
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EXHIBIT "C"





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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
DAVID W. LEVENE, born March 24, 1945, New York, New York. A
founding partner of Levene, Neale, Bender, Yoo & Brill L.L.P.. Business
and Professional Experience: July, 1974 to Present, attorney specializing in
matters of bankruptcy, insolvency, business reorganization and commercial
fnancing. Education and Honors: University of Southern California, B.S.,
Business Administration, 1967; University of Southern California, M.B.A.,
fnance and marketing, 1968; Loyola University of Los Angeles, J.D. magna
cum laude, 1974. Bar Admissions: California, United States District Court
for the Southern, Central, Eastern and Northern Districts of California;
and U.S. Court of Appeals, Ninth Circuit. Professional Memberships and
Associations: Los Angeles County (past member: Executive Committee,
Commercial Law and Bankruptcy Section; Bankruptcy Subcommittee);
Past chair of Bankruptcy Section of Beverly Hills Bar Association; Federal
and American Bar Associations; The State Bar of California; Financial
Lawyers Conference; American Bankruptcy Institute; Commercial Law
League of America; and Turnaround Management Association. Guest
Lecturer: Frost & Sullivan, Inc., Loan Workouts, LBOs and Bankruptcy;
The Banking Law Institute, Loan Workout, Restructure and Bankruptcy;
Drexel Burnham Lambert, Chapter 11; Financial Lawyers Conference,
Fraudulent Conveyances; Los Angeles Bankruptcy Forum, Out of Court
Reorganizations; Orange County Bankruptcy Forum, Restructuring
Financially Troubled Businesses; Jewelers Board of Trade, Consignment
Issues in Bankruptcy; Turnaround Management Association, Case Study
on Representation of Debtor in Out of Court Workouts and Chapter 11;
National Conference of the Turnaround Management Association, Gaining
Confdence of Lenders and Creditors in Workouts and Restructurings;
Young Presidents Organization National Conference, Acquisition and
Investment Opportunities in Bankruptcy Reorganization Cases; The
Counselors of Real Estate Convention, Chapter 11 and the Role of the
Real Estate Advisor; Association of Insolvency Accountants: Valuation
Conference, Valuation Issues in Chapter 11 Cases, Moderator of seminar
on Workouts sponsored by Orange Country Bankruptcy Forum, Role of
Appraisers in Bankruptcy & Reorganization Cases presented at convention
of American Society of Appraisers, and guest lecturer on Workouts and
Restructuring presented nationally by Fulcrum Information Services. Twice
continued... pg 1 of 2
Professional Resume
David W. Levene
dwl@lnbyb.com
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Professional Resume
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
David W. Levene
included in annual list of 100 most prominent business attorneys practicing
in Los Angeles County in Los Angeles Business Journals annual list of
Whos Who in Law and Accounting. Repeatedly listed as a Southern
California Super Lawyer in annual polls of his peers.
pg 2 of 2
continued from page 1
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
David L. Neale
dln@lnbyb.com
DAVID L. NEALE began his legal career in New York, with the law frm of
Kramer, Levin, Nessen, Kamin & Frankel, where he represented creditors
and creditors committees in large, complex cases such as Texaco Inc.,
LTV Steel and Charter Co. When Mr. Neale relocated to California in
1989, to join the law frm of Levene & Eisenberg, he brought with him an
understanding of creditors rights and remedies that he was able to apply
to the representation of debtors and other constituencies in bankruptcy and
workout situations.
His broad experience includes handling cases in a variety of areas
including: Manufacturing (successful Chapter 11 reorganization for
companies such as Future Media Productions, a manufacturer of blank
CDs and DVDs; California Aircraft & Engines, Inc., a manufacturer of
aircraft engine parts with claimants from around the world; DCC Compact
Classics, Inc., a manufacturer of specialty CDs and recordings; Fernandes
Guitars, a manufacturer of electric and acoustic guitars for distribution
around the world); the food and beverage industry (Chinois Restaurant,
successful Chapter 11 reorganization for a Las Vegas restaurant; Caf-
Melisse Valencia, successful out-of court workout and orderly liquidation;
Galletti Brothers Foods, successful Chapter 11 reorganization for one of
the nations largest fresh seafood wholesalers); Construction (successful
Chapter 11 reorganization for Rock & Waterscape, Inc., builder of water-
themed features in Las Vegas and around the world); Real estate
(successful Chapter 11 cases for North Silver Lake Lodge, LLC, involving
one of the last undeveloped parcels of real property in the Deer Valley, Utah
ski resort area; IDM Corporation and its affliates requiring the restructuring
of over $1 billion in debt; and Galletti Brothers Investments, a real estate
partnership with multiple properties. He has also represented Ritter Ranch
Development, the owner of an 11,000 acre development property in
Palmdale; and National Enterprises, Inc. and San Diego Investments, real
estate management and development companies with properties across the
United States); Energy (representing the California Independent System
Operator Corporation in connection with the bankruptcy cases of California
Power Exchange, Pacifc Gas & Electric Co., Enron Inc. and Mirant and its
affliates); Banking and fnance (Imperial Credit Industries, Inc.); Trucking
(Consolidated Freightways and its affliates, in which Mr. Neale
represented multi-employer pension funds that were the largest creditors
continued... pg 1 of 3
Professional Resume
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Professional Resume
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
David L. Neale
and went on to represent the post-confrmation Plan Oversight Committee
and serve as special counsel to the Liquidating Trust in certain litigation and
appellate matters, and The Penn Traffc Co. and its affliates, in which Mr.
Neale represented certain multi-employer retirement, health and welfare
funds); Technology and communication (WCI Cable, Inc., a fber optic
cable network located in Oregon and Alaska); and Retail (successful
Chapter 11 cases for Ortho Mattress, Inc., a manufacturer and retailer
of bedding products; Britches of Georgetowne, Inc., a clothing retailer
with outlets in several states). Mr. Neale has a particular expertise in the
entertainment industry. He has represented clients involved in publishing
(New Millennium Entertainment, Buzz Magazine); flm exhibition (Resort
Theaters of America); flm production (Franchise Pictures, LLC and its
affliates); The Samuel Goldwyn Company in connection with its acquisition
of Heritage Entertainment); and artists (Gladys Knight, Mick Fleetwood,
Lynn Redgrave, among others).
Mr. Neale is both an experienced and aggressive litigator whose cases
have resulted in several notable published opinions, and a seasoned
negotiator who brings his skills to bear as a member of the Mediation
Panel for the Bankruptcy Court for the Central District of California. He
is a Member of the American Bar Association, Association of the Bar of
the City of New York, New York County Bar Association, Century City Bar
Association, Beverly Hills Bar Association, Financial Lawyers Conference,
Association of Trial Lawyers of America, Turnaround Management
Association, and the Commercial Law League of America. Mr. Neale serves
on the Board of Directors of the Financial Lawyers Conference and AIDS
Project Los Angeles.
Mr. Neale received his B.A., Summa Cum Laude from Princeton University
in 1984 and his J.D. from Columbia University School of Law in 1987.
He was admitted to the New York Bar in 1988 and the California Bar in
1989. He was admitted to the Ninth Circuit Court of Appeals in 1989, and
was admitted to the United States District Court for the Southern and
Eastern Districts of New York in 1988. In 1989, he was admitted to the
Central, Eastern, Northern and Southern Districts of California. He has also
practiced extensively in courts around the country, in venues as diverse
as Oregon, Arizona, Nevada, Texas, Arkansas, Utah, Florida, New York,
Deleware and Tennessee.
pg 2 of 3
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
David L. Neale
Mr. Neale is the author of Bankruptcy and Contractual Relations in the
Entertainment Industry An Overview, 1990 Entertainment, Publishing
and the Arts Handbook; A Survey of Recent Bankruptcy Decisions
Impacting upon the Entertainment Industry, 1992 - 1993 Entertainment,
Publishing and the Arts Handbook; SEC Actions and Stays, National
Law Journal, 2002; and The Scope and Application of 11 U.S.C. 1145,
American Bankruptcy Institute Bankruptcy Battleground West, 2003. He
was featured as a Mover & Shaker by The Deal magazine in 2006, and
has been interviewed several times by, among others, KNX news radio in
Los Angeles, Variety magazine and the California Real Estate Journal on
bankruptcy topics.
Mr. Neale has appeared as a speaker on the following topics before
the following organizations: Making the Best Better: Lessons From the
Battlefeld, Turnaround Management Association 6th Annual Spring
Meeting, 1998; Litigation Issues in Bankruptcy, Business Torts - An
Introduction and Primer, Consumer Attorneys Association of Los Angeles,
1998; There Must Be Fifty Ways to Leave Your Troubles, Turnaround
Management Association, 1998; The Impact of State Court Decisions in
Bankruptcy Court, Beverly Hills Bar Association, 2001. He has appeared as
a panelist, addressing issues relating to Bankruptcy in the Dot-Com
Economy and Licensing Agreements: How to Draft and Enforce Them for
Law.Com Seminars; Public Company Debtors and the SEC, American
Bankruptcy Institute Bankruptcy Battleground West, 2003; The 2005
Amendments to Bankruptcy Code Sections 546(c) and 547 The Early
Returns, Financial Lawyers Conference, 2008; and Transfers of
Intellectual Property, Southwestern Law School, Bankruptcy in the New
Millennium, 2010.
Mr. Neale has consistently been named by Los Angeles magazine as one of
its 100 Super Lawyers in the bankruptcy feld.
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LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
521%(1'(5 is is a founding and co-managing partner of the frm. With
a large and diverse practice, Mr. Bender has successfully reorganized and
sold numerous companies and restructured the fnancial affairs of many
individuals. Mr. Bender is widely regarded as a highly creative, results
oriented bankruptcy attorney who is able to tackle complex problems and
develop and implement creative solutions. Mr. Bender has repeatedly
been listed by "Super Lawyers" as one of the top 100 lawyers in Southern
California in regional surveys of his peers. Mr. Bender received his
undergraduate degree in Finance from the prestigious Wharton School of
Business at the University of Pennsylvania in 1986 where he graduated
frst in his class (B.S., summa cum laude), and then obtained his law
degree from Stanford University Law School in 1989. During law school,
Mr. Bender served as a judicial extern for the Honorable Lloyd King, U.S.
Bankruptcy Court, Northern District of California Bankruptcy Court. Since
graduating from law school, Mr. Bender has worked solely in the areas of
bankruptcy, insolvency and business reorganization, and has developed
one of the largest bankruptcy practices in Southern California, including the
representation of debtors, creditors committees, creditors, and purchasers
of businesses. Mr. Benders incredibly broad Chapter 11 debtor experience
includes the representation of Fat Burger (a chain of hamburger restaurants
located in California and Nevada whose Chapter 11 bankruptcy cases
are currently pending); Westcliff Medical Laboratories (an owner and
operator of 170 patient service center laboratories and labs throughout
California with $95 million of annual revenue and 1,000 employees which
was recently sold for $57.5 million); LifeMasters Supported Selfcare (a
national disease management company with annual revenue of $80 million
which was sold); Bodies in Motion (a chain of ftness facilities which was
sold for approximately $10 million); Small World Toys (a toy company
which was sold for approximately $16 million); Intervisual (a childrens
book company which was sold for approximately $10 million); LightPointe
Communications (a manufacturer of wireless networking equipment which
successfully reorganized); Nicola (a large olive importer and distributor
which successfully reorganized); Krispy Kreme (an owner and operator of
Krispy Kreme Doughnut Stores which successfully reorganized); Pleasant
Care (an owner and operator of skilled nursing facilities with annual revenue
of approximately $200 million which was sold for approximately $17 million);
continued... pg 1 of 3
Professional Resume
Ron Bender
rb@lnbyb.com
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LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
Ron Bender
Aura Systems (a publicly traded manufacturer of a mobile power generator
which successfully reorganized); Sega GameWorks (a retail entertainment
based company operating under the name of "GameWorks," with $60
million of annual revenue, which was sold for approximately $8 million);
Alliant Protection Services, (a commercial and residential alarm services
company with 16,000 customers, which was sold for $14.5 million); The
Walking Company (a national chain of 101 retail stores selling specialty
shoes and footwear, which successfully reorganized involving $22 million
of cash, debt and stock); Shoe Pavilion (a chain of 117 retail stores
selling off-price footwear with locations in the Western and Southwestern
United States which was sold); Gadzoox Networks (a publicly traded
company engaged in the business of providing networking infrastructure
for storage and data management, where one division was sold for $8.5
million and the balance of the company successfully reorganized); State
Line Hotel, State Line Casino, Jims Enterprises (two hotels and casinos
located in West Wendover, Nevada known as the State Line Hotel and
Casino and the Silver Smith Hotel and Casino, which were sold for $55
million); Management Action Programs (a management consulting frm that
successfully reorganized); Easyrider and Paisano Publications (publicly
traded publishers of thirteen national magazines, which were sold for $12.3
million); Clifford Electronics (a manufacturer of automotive aftermarket
and original equipment manufacturer security systems and components,
primarily for automobiles, with annual sales of $40 million, which was sold
for $20 million); Chorus Line Corporation and California Fashions Industries
(one of the largest apparel companies in the country with annual sales of
$500 million which engaged in a Chapter 11 liquidation); Avus (a distributor
of computer systems with sales of in excess of $100 million, which was
sold); A.J. Markets (chain of supermarkets sold for $5 million); Trancas
Town (owner of 35 acres of raw developable land in Malibu, California
that successfully reorganized); Association of Volleyball Professionals
(professional beach volleyball league sold in Chapter 11); Louises Trattoria
(chain of 16 Italian food restaurants with $30 million in annual revenue sold
in Chapter 11 for $7 million); Westward Ho Markets (a supermarket chain
with $50 million of annual revenue and $20 million of debt which
was restructured through a confrmed Chapter 11 reorganization plan);
continued... pg 2 of 3
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
Ron Bender
Special Effects Unlimited (one of the largest providers of special effects in
the movie industry which was restructured through a confrmed Chapter
11 reorganization plan); Santa Barbara Aerospace (a heavy aircraft
maintenance facility located at the former Norton Air Force base in San
Bernardino, California, which was restructured and sold); Manchester
Center (a 1.5 million square foot shopping center in Fresno, California
which was sold for $25 million); Marbella Golf and County Club (a golf
and country club located in San Juan Capistrano which successfully
reorganized); Southwest Hospital (an acute care hospital located in
Riverside which successfully reorganized); Servall Packaging Industries
(a contract packaging company which was sold); Polaris Networks (a
telecommunications networks and software company which successfully
reorganized); and Prestige Products (a distributor of aftermarket automobile
accessories which was sold). A sampling of Mr. Benders representation of
creditors committees includes the representation of the creditors committee
in the Chapter 11 bankruptcy case of Trigem America (a wholly-owned
subsidiary of one of the largest computer manufacturers in the world located
in Korea whose case is currently pending) and Robinson Golf Holdings (the
owner of a large golf resort development project).

pg 3 of 3
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
7,027+<<22specializes in commercial litigation and bankruptcy and
is known for resolving diffcult issues with creativity and effciency. He
consistently earns the highest marks in peer surveys, including an AV
rating by Martindale-Hubbell and being designated repeatedly as a Super
Lawyer. He received his undergraduate degree in business from University
of Southern California with honors in 1987 and his law degree from Loyola
Law School with full merit scholarship in 1991. He completed a one-year
clerkship with the Honorable Lisa Hill Fenning, U.S. Bankruptcy Judge for
the Central District of California. n March, 1998, he was appointed to the
Panel of Chapter 7 Bankruptcy Trustees. He also acts in numerous cases
as a Chapter 11 Trustee, Bankruptcy Ombudsman, Liquidating Trustee and
Chief Restructuring Offcer.
pg 1 of 1
Professional Resume
Timothy Yoo
ty@lnbyb.com
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LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
Martin J. Brill
mjb@lnbyb.com
MARTIN J. BRILL. Mr. Brill has devoted his over 35 years of practice
exclusively to bankruptcy, insolvency and business reorganizations, with
particular emphasis on complex reorganizations of publicly-held companies
in a wide range of industries. Mr. Brill's expertise in the interplay between
bankruptcy and securities laws has led to the successful reorganization of
numerous publicly-held corporations and privately-held corporations desiring
to go public, including Prism Entertainment Corporation (involving a reverse
merger of the publicly-held flm producer, Prism, with a privately-owned
video retailer), Geo Petroleum, nc., (successful Chapter 11 of publicly-held
oil and gas company), Video City, nc., (successful Chapter 11 for video
retailer with over 75 locations involving issuance of securities for debt), and
American Blood nstitute, nc. (successfully raised over $1.2 million through
complex debtor fnancing, allowing company to emerge as publicly-held
plasma company, SeraCare, nc.). Mr. Brill also has represented debtors,
creditors, trustees, plan proponents, asset purchasers and creditors
committees in a wide variety of diverse chapter 11 reorganization cases. For
example, Mr. Brill was lead counsel in representing the chapter 11 debtor
in Gateway Computer Systems (a multi-store retailer of computers and
related equipment), the chapter 11 debtor in Primedex Health Systems, nc.
(successful pre-packaged plan confrmed in less than 45 days for diagnostic
imaging company), 360 Global Wine Company and 360 Viansa, LLC
(publicly held holding company and its operating wholly-owned subsidiary
in the winery business in Sonoma, California), Agua Dulce Vineyards,
LLC (operating vineyard and winery in Los Angeles County), Copper King
Mining Corporation and Western Utah Mining Company (public holding
company and its wholly-owned operating subsidiary in the copper mining
business), as well as the chapter 11 debtors in the hospital reorganization
cases for Chino Valley Medical Center, Canyon Ridge Hospital, Lincoln
Hospital Medical Center and the offcial creditors committees in Fields
Aircraft Spares, nc. (aircraft parts distributor), New Star Media, nc.
(publishing company), Henry Mayo Newhall Memorial Hospital (hospital),
Daewoo Motor America, nc. (Daewoo automobile distributor in the U.S.),
ntercare Health Systems, nc., Vista Hospital Systems, nc. and Downey
Regional Medical Center (hospitals), Ronco Corporation and Ronco
Marketing Corporation (consumer products and marketing), and T-Asset
continued... pg 1 of 2
Professional Resume
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
Martin J. Brill
Acquisition Corporation and its related entities (the owner of the Terminator
flm franchise). n addition, Mr. Brill has also handled numerous out-of-
court workouts and restructurings, including the successful out-of-court
debt restructuring for Carolco Pictures, nc. Mr. Brill was admitted to the
California Bar in 1972. His educational background is as follows: University
of California at Los Angeles (B.A., cum laude, 1969; J.D., 1972). Associate
Editor U.C.L.A. Law Review, 1971-1972. Co-Author: Collective Bargaining
and Politics in Public Employment, 19 U.C.L.A. Law Review 887, 1972.
He is a member of the State Bar of California and a member of the Beverly
Hills, Century City, Los Angeles County (Member, Sections on: Commercial
Law; Bankruptcy) and American Bar Associations. He is currently serving
on the Executive Committee of the Bankruptcy Section of the Beverly Hills
Bar Association (Chairman from 2002-2003) and served on the Board of
Directors of the Los Angeles Bankruptcy Forum. He is a member of the
Financial Lawyers Conference and has lectured to various trade groups and
bar associations on bankruptcy and related topics.
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LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
DAVID B. GOLUBCHIK, born Kiev, Ukraine, January 10, 1971; admitted to
bar 1996, California. Education: University of California, Los Angeles (B.A.
1992), Pepperdine University School of Law (J.D., 1996). Vice Chairman,
Moot Court Board; Vice Magistrate, Phi Delta Phi nternational Legal
Fraternity; American Jurisprudence Award in Business Reorganization
in Bankruptcy. n addition to the State Bar of California, admitted to the
U.S. District Court, Central, Southern, Eastern and Northern Districts of
California. Law Clerk to the Honorable Thomas B. Donovan, United States
Bankruptcy Court, Central District of California (1996-1997). Member,
American, California and Los Angeles Bar Associations, American
Bankruptcy nstitute (Board of Advisors), Financial Lawyers Conference, Los
Angeles Bankruptcy Forum and Beverly Hills Bar Association (Executive
Committee). Practice emphasizes bankruptcy, corporate insolvency and
creditors' rights. Language: Russian.
Articles written by David Golubchik include: Representing Closely Held
Corporations in Bankruptcy: The Ethical Dilemma, Commercial Lawyers'
Association Conference, November 1999; Bankruptcy Law A Debtor's
Press Release, National Law Journal, May 29, 2000; Taking a Piece of
the Action in Bankruptcy, Bay Area Bankruptcy Forum Conference, June
6, 2000; Bankruptcy Law Unwinding Settlements, National Law Journal,
October 23, 2000; Bankruptcy Law nvoluntary Proceedings, National
Law Journal, February 2, 2004; The Rights Of A Lessee n A Lessor's
Bankruptcy: Section 365(h) Of The Bankruptcy Code, Los Angeles
Country Bar Association, Real Estate Subsection, March 25, 2004; and
Defending Nondischargeability Actions in Bankruptcy, Public Counsel,
2002-2004; Outlooks and Strategies For Distressed Commercial Real
Estate Loans, Grubb and Ellis presentation, May 14, 2009; Chapter 11
Focus: Small Business and Single Asset Real Estate Cases, Los Angeles
Country Bar Association, Commercial Law and Bankruptcy Subsection,
January 27, 2010.

pg 1 of 1
Professional Resume
David B.
Golubchik
dbg@lnbyb.com
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LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
EDWARD M. WOLKOWITZ has focused on the areas of insolvency and
commercial law during more than 30 years of practice. He has represented
debtors, creditors, trustees, receivers and creditors committees in a wide
variety of cases. He also serves as a chapter 11 and chapter 7 panel
trustee in the Central District of California and as a receiver for the Los
Angeles Superior Court. He has extensive experience in representing
various interests in complex reorganization cases in a number of different
and diverse industries and has also operated a number of businesses as
a trustee and receiver. He has been involved in a number of cases that
have made new law or clarifed existing law in the Ninth Circuit, including:
Wolkowitz v. FDC, 527 F. 3d 959 (9th Cir. 2008); Wolkowitz v. Beverly, 551
F. 3d 1092 (9th Cir. 2008); n re Sylmar Plaza, LP, 314 F.3d 1070 (9th Cir.
2002); Wolkowitz v. American Research Corporation, 131 F.3d 788 (9th Cir.
1999); n re Moses, 167 F.3d 470 (9th Cir. 1999); Wolkowitz v. Shearson
Lehman Bros., 136 F.3d 655, cert. denied, 525 U.S. 826 (1998); n re
Cheng, 943 F.2d 1114 (9th Cir. 1991); n re Qintex Entertainment, 950 F.2d
1492 (9th Cir. 1991); n re WLB_RSK Venture, 296 B.R. 509 (Bankr. C.D.
Cal. 2003).
Mr. Wolkowitz was on the faculty of Southwestern University Law School
from 1978 to 1994, rejoining the faculty in 2001, teaching courses in
bankruptcy, commercial transactions and business reorganization. He has
also lectured extensively for the California Continuing Education of the
Bar, and as a panelist in programs sponsored by the American Bankruptcy
nstitute, the Los Angeles Bankruptcy Forum, and the Beverly Hills Bar
Association. Between 1994 and 2002, he served as a member of the City
Council of Culver City, California, including two one-year terms as Mayor of
Culver City.
Mr. Wolkowitz was admitted to the California Bar in 1976. His educational
background is as follows: California State University, Northridge , (B.A.,
1971); Southwestern University Law School (J.D., cum laude, 1975); The
University of Michigan Law School (LL.M., 1976). His publications include:
Debtors Have New Weapons Against nvoluntary Bankruptcy, Journal
of Corporate Renewal 12 (December 2007); Bankruptcy and Family
continued... pg 1 of 2
Professional Resume
Edward M.
Wolkowitz
emw@lnbyb.com
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
Edward M. Wolkowitz
Law: A Marriage of rreconcilable Differences, 24 B.H. Bar J. 83 (1990);
nsolvency and Bankruptcy, (Chapter 7) California Family Law Service,
Bancroft-Whitney (1986); Legislative Analysis--Land Use Proposals, 8
Southwestern University Law Review 216 (1976); Land Use Controls: s
there a Place For Everything, 6 Sw.U.L.Rev. 607 (1974). He is a member
of the State Bar of California, the American Bar Association, Los Angeles
County Bar Association, the Los Angeles Bankruptcy Forum, the Financial
Lawyers Conference and the National Association of Bankruptcy Trustees.
He has served as President and Vice President of the Los Angeles
Bankruptcy Forum; the Editorial Board of the California Bankruptcy Journal;
and, the Executive Committee of the Board of Governors of the Financial
Lawyers Conference.
pg 2 of 2
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
BETH ANN R. YOUNG, born Santa Monica, California, June 30, 1964;
admitted to bar December, 1989, California. Admitted to the United
States District Court, Central, Eastern, Northern and Southern Districts
of California and the United States Court of Appeals for the Ninth Circuit.
Education: University of California at Los Angeles (B.A., 1986); Loyola
Law School (J.D., 1989). Member: California Bar Association, American
Bar Association, Los Angeles County Bar Association, Century City Bar
Association, Financial Lawyers' Conference and Los Angeles Bankruptcy
Forum. Reported Decisions include: San Paolo U.S. Holding Company v.
816 South Figueroa Company (1998) 62 Cal. App. 4th 1010, 1026; and
Ziello v. First Federal Bank (1995) 36 Cal. App. 4th 321, 42 Cal. Rptr. 2d
251. Presenter: Domestic Partnerships in California: mportant New Rules
Affecting Creditors, October, 2004.
pg 1 of 1
Professional Resume
Beth Ann R.
Young
bry@lnbyb.com
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LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 WWW.LNBYB.COM
Monica
Young Kim
myk@lnbyb.com
MONICA YOUNG KIM was admitted to the California Bar in 1995, after
graduating from the University of California at Berkeley (B.A., 1991) and
Hastings College of the Law (J.D., 1995). She was a Law Clerk to the
Honorable Jane Dickson McKeag, U.S. Bankruptcy Judge, Eastern District
of California, 1995-96. Ms. Kim has worked solely in the areas of bankruptcy,
insolvency and business reorganization, and commercial and real estate
transactions, representing debtors, creditors committees, creditors, sellers,
and purchasers. She joined Levene, Neale, Bender, Yoo & Brill L.L.P. in 1996,
and became a partner in 2004.
Ms. Kim is also involved in out-of-court restructuring transactions, including
assignments for creditors, representing sellers/assignors, assignees and
buyers. Her experience has included representation in retail, healthcare,
entertainment, manufacturing, real estate, service and technology. She has
been named to the Rising Star listing of Southern California attorneys each
year since 2005, in annual surveys of her peers. Ms. Kim is a member of the
American Bar Association, Los Angeles County Bar Association, Century
City Bar Association, Women Lawyers Association of Los Angeles, and the
Korean American Bar Association, and is admitted to the Central, Eastern,
Northern and Southern Districts of California.


Professional Resume
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LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
PHILIP A. GASTEIER'S more than 30 years of practice has included
a broad range of bankruptcy and insolvency representation, including
Chapter 11 debtors, trustees in Chapter 7 and Chapter 11 cases, creditors,
committees, buyers, landlords and parties to executory contracts,
with particular emphasis on complex reorganizations and structuring
transactions.
n his frst decade of practice in Philadelphia, Mr. Gasteier successfully
represented landlords and purchasers of leasehold interests in large
cases such as Food Fair and Lionel, and participated in preparation of
materials for presentation to Congress in connection with hearings leading
to the Shopping Center Amendments to the Bankruptcy Code in 1984. He
counseled extensively in connection with insolvency and bankruptcy aspects
of commercial leases for shopping centers and retail chains, and authored
Shopping Centers As Utilities Under the Bankruptcy Code, Shopping
Center Legal Update, Summer, 1983. Mr. Gasteier also provided insolvency
counseling in connection with bond and other securities transactions. Mr.
Gasteier was involved in representation of creditor or equity committees in
matters including Franklin Computer, Manson-Billard ndustries and Monroe
Well Service, nc. Debtor representation included Motor Freight Express, a
multi-state motor carrier, and Dublin Properties.
Mr. Gasteier's practice in Los Angeles has included entertainment and
other intellectual property matters, such as Fries Entertainment, nc.,
Qintex Entertainment, nc., and Hal Roach Studios, nc. where he was
primarily responsible for structuring and confrming chapter 11 plans, as
well as representation of Carolco Pictures, nc. and Paramount Studios.
He has provided specialized insolvency counseling and litigation support in
connection with numerous transactions, licenses and other entertainment
contracts. Mr. Gasteier argued n re: Qintex Entertainment, nc., 950 F.2d
1492 (9th Cir. 1991) to the Ninth Circuit U.S. Court of Appeals, a principal
case establishing the executory contract analysis applicable to copyright
licenses, and determining that participation rights constitute unsecured
claims. Other debtor representation has included Currie Technologies nc.;
Wavien, nc; Ocean Trails L.P.; Superior Fast Freight, nc.; and B.U.M.
continued... pg 1 of 2
Professional Resume
Philip A.
Gasteier
pag@lnbyb.com
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
Philip A. Gasteier
nternational, nc. Mr. Gasteier has been involved in creditor committee
representation in cases such as House of Fabrics, California Pacifc
Funding, Ltd., Condor Systems, nc. and Chase Technologies, nc.
Mr. Gasteier is a graduate of the Law School of the University of
Pennsylvania (J.D. 1977) and the Ohio State University (B.A. 1974). He
was admitted to the Pennsylvania Bar in 1977 and to the California Bar in
1987. He is also a member of the bar of the United States District Court,
Central, Eastern and Northern Districts of California; the U.S. District Court,
Eastern District Court of Pennsylvania, and the Ninth and Third Circuit
Courts of Appeals. He is a member of the American Bankruptcy nstitute,
the American Bar Association, the State Bar of California, the Century City
Bar Association, the Financial Lawyers Conference and the Los Angeles
County Bar Association, where he served as a member of the Bankruptcy
Sub-Committee of the Section on Commercial Law and Bankruptcy from
(1990-1992). He has been active in civic affairs, and is a past President
(2008-2009), Vice President (2006-2008) and Board Member (2004-2009) of
the Greater Griffth Park Neighborhood Council, an offcial body of the City
of Los Angeles.

pg 2 of 2
continued from page 1
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
DANIEL H. REISS, a partner at Levene, Neale, Bender, Yoo & Brill L.L.P.
(LNBYB), has specialized in the area of bankruptcy and insolvency for
over two decades. Before entering the legal feld, Mr. Reiss started his
professional career at KPMG (then Peat, Marwick and Mitchell) and became
a Certifed Public Accountant specializing in tax structuring in mid-market
and entrepreneurial businesses. Mr. Reiss graduated from California State
University, Northridge, summa cum laude, B.S., Business Administration
in 1984. Mr. Reiss's business education and background is of signifcant
importance in dealing with the complex fnancial issues facing distressed
business situations.
Armed with practical business knowledge, Mr. Reiss decided to pursue a
career in law and graduated in 1990 from Loyola University Law School
where he was a staff writer and notes editor of the Law Review, president
of Phi Delta Phi legal honor fraternity, and was a member of the St. Thomas
More Honor Society.
Mr. Reiss joined LNBYB in November 2000. Mr. Reiss is a member of
the executive committee of the Bankruptcy Section of the Beverly Hills
Bar Association, and is a member of the Los Angeles Bankruptcy Forum,
Financial Lawyers Conference and the Los Angeles County Bar Association.
He was honored in as a Super Lawyer 2006, 2007, and 2010 Super
Lawyer in a region-wide survey, an honor bestowed on only 5% of Southern
California attorneys.
Mr. Reiss's bankruptcy experience extends to cases and distressed
situations involving public utilities, healthcare, retail, aviation, hospitality, real
estate, bio-tech and general manufacturing. Mr. Reiss regularly represents
debtors, creditor committees, secured creditors, bankruptcy trustees and
buyers of distressed assets and companies. Mr. Reiss is a frequent speaker
before trade and legal groups, and is a nationally published author on
bankruptcy issues.
continued... pg 1 of 2
Professional Resume
Daniel H. Reiss
dhr@lnbyb.com
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Professional Resume
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
Daniel H. Reiss
Mr. Reiss's published articles include:
Bankruptcy Battlegrounds in Franchising, Franchise Law nsider, 3rd
Quarter 2005
Assignment of Leases, National Law Journal, Winter 2006
'Travelers Cas.' Part , National Law Journal, Winter 2007.
Single-Asset Real Estate, National Law Journal, Summer 2008.
D&O Moves to the Forefront in Bankruptcy Cases, National Law Journal,
Summer 2009.
Protecting nterests in the Event of Tenant Bankruptcies, National Law
Journal, Spring 2010.
Mr. Reiss's speaking engagements include:
Franchise ssues in Bankruptcy, Spring, 2004, Franchise Business
Network.
Hostile Takeovers in Bankruptcy Cases, Credit Managers Association.
Bankruptcy Battlegrounds in Franchising, Fall, 2009, Southern California
Franchise Business Network.
Directors and Offcers Litigation in Bankruptcy, Spring, 2008, Turnaround
Management Association and Beverly Hills Bar Association.
Healthcare Business Bankruptcies, Spring 2009, Los Angeles County Bar
Association, Healthcare Law and Commercial Law And Bankruptcy Sections
pg 2 of 2
continued from page 1
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
TODD A. FREALY, a partner of the frm, represents Chapter 7 trustees
throughout Southern California in all aspects of case administration and
litigation. Mr. Frealy also represents banks, landlords and other creditors
in contested Chapter 11 cases and adversary proceedings. Mr. Frealy
is a graduate of Southwestern University School of Law (J.D. 1998) and
the University of California, Los Angeles (B.A. 1995). During law school
he was an extern to the Honorable Mitchel R. Goldberg and Honorable
Arthur M. Greenwald, U.S. Bankruptcy Judges for the Central District of
California. After law school, he clerked for the Honorable David N. Naugle,
U.S. Bankruptcy Judge, Central District of California, Riverside Division
(1998-2000). Mr. Frealy is a member of the Board of Directors for the nland
Empire Bankruptcy Forum and was formerly a member of the Southwestern
University School of Law Alumni Board of Directors (September 2006 to
June 2009). He is also a member of the Los Angeles County Bar Association
and the Los Angeles Bankruptcy Forum. n 2009 and 2010, Mr. Frealy was
recognized as a Rising Star by Super Lawyers magazine. He was admitted
to the California Bar in 1998, and is admitted to the Central, Eastern,
Northern and Southern Districts of California.
Articles written by Mr. Frealy include: Dazed and Confused, California
Bankruptcy Court Reporter, Vol. 4, No. 3, March 2000 (Dischargeability of
student loans and the undue hardship test); Finding the Key, California
Bankruptcy Court Reporter, Vol. 4, No. 6, June 2000 (How to Setoff Mutual
Debts in Bankruptcy). n February 2010, Mr. Frealy appeared as a speaker
at Southwestern Law Review's symposium on Bankruptcy in the New
Millenium.

pg 1 of 1
Professional Resume
Todd A. Frealy
taf@lnbyb.com
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
IRV M. GROSS has practiced law in California for over 30 years. After
graduating from the University of California at Los Angeles in 1968 (B.A.,
Cum Laude), Mr. Gross attended law school at Boalt Hall, University of
California at Berkeley (J.D., 1972). After graduation from law school, Mr.
Gross served as the law clerk for the Hon. Robert Firth, Judge of the United
States District Court for the Central District of California. Following his
clerkship, Mr. Gross joined the Los Angeles law frm of Simon & Sheridan, a
frm prominent for its expertise in federal litigation. After becoming a partner
at Simon & Sheridan, Mr. Gross joined Robinson, Wolas & Diamant, a highly
regarded Los Angeles law frm specializing in insolvency and creditors
rights, and eventually became the head of the frms litigation department.
Mr. Gross litigation practice has always been broad-based: he has
represented individuals and major corporate clients, including McKesson
Corp., Chicago Title Insurance Company, 20th Century Fox Corp., Interstate
Bakeries Corp., Nutro Products, Inc. and Allstate Financial, in business,
commercial, real estate and employment litigation, including jury and
non-jury trials. These include a successful eight-week jury trial in the Los
Angeles Superior Court representing former bank directors sued for breach
of fduciary duty, and a successful two-week jury trial in the United States
District Court defending a Fortune 100 company in a wrongful termination
case. A signifcant part of Mr. Gross practice involves the representation
of bankruptcy trustees, chapter 11 debtors, and creditor committees and
individual creditors in insolvency litigation, such as Mr. Gasket (public
company in the automotive parts industry), Qintex Entertainment, Inc.
(public company in the entertainment industry) and Condor Systems, Inc.
(public company in the defense industry). Mr. Gross has also represented
the prevailing parties in appeals in both state and federal courts. His
published decisions include In re Rossi, 86 B.R. 220 (9th Cir. BAP 1988);
First Pacifc Bancorp, Inc. v. Bro, 847 F.2d 542 (9th Cir. 1988); In re Qintex
Entertainment, Inc., 950 F.2d 1492 (9th Cir. 1991); Bergman v. Rifkind &
Sterling, Inc., (1991) 227 Cal.App.3d 1380; In re Qintex Entertainment, Inc.,
8 F.3d 1353 (9th Cir. 1993); In re Advent Management Corp., 178 B.R. 480
(9th Cir. BAP 1995); American Sports Radio Network, Inc., et al. v. Krause,
546 F.3d 1070 (9th Cir. 2008). Mr. Gross is a member of the Litigation and
Prejudgment Remedies sections of the Los Angeles County Bar Association,
and the Litigation section of the American Bar Association. Mr. Gross has
also served as a judge pro tem of the Los Angeles Superior Court.
pg 1 of 1
Professional Resume
Irv M. Gross
img@lnbyb.com
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Main Document Page 143 of 159
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
JACQUELINE L. RODRIGUEZ-JAMES is a partner at Levene, Neale,
Bender, Yoo & Brill L.L.P., where she specializes in representing debtors
and creditors in Chapter 11 bankruptcy cases and out-of-court restructurings
as well as plaintiffs and defendants in business and bankruptcy litigation.
A graduate of Loyola Marymount University, with an undergraduate degree
in International Business, and the University of Southern California School
of Law, Ms. James was an extern to the Honorable John Ryan of the
United States Bankruptcy Court and the Bankruptcy Appellate Panel in
1997. She was admitted to the California Bar in 1998, and joined the frm
in 2001. Her experience includes a wide range of industries, including but
not limited to, entertainment, restaurants, retail, general manufacturing,
construction, equipment rental, security, banking and health care. Her
casework includes FAO Schwarz, the Walking Company, Britches of
Georgetown, Inc., Stan Lee Media, Franchise Pictures, Les Deux Cafes,
LLC, Fatburger Restaurants, Alliant Protection Services, Inc., Pleasant
Care Corporation, and Westcliff Medical Laboratories, Inc. She has also
represented several high profle clients in individual bankruptcy cases and
out-of-court restructurings. The published author of several legal articles,
Ms. James is a member of the American Bankruptcy Institute, the Financial
Lawyers Conference, the National Association of Trial Attorneys and several
bar associations. She has been voted a Rising Star in a poll of her peers
in Southern California each year since 2006. She is fuent in Spanish and
conversational in French.
pg 1 of 1
Professional Resume
Jacqueline L.
Rodriguez-James
jlj@lnbyb.com
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
JULIET Y. OH is a partner at Levene, Neale, Bender, Yoo & Brill L.L.P.
representing individuals and corporations in Chapter 11 bankruptcy
cases, out-of-court restructuring proceedings and bankruptcy litigation
proceedings. She has been voted a Rising Star in a poll of her peers in
Southern California each year since 2006. Ms. Oh has recently represented
Chapter 11 debtors Franchise Pictures LLC, et al., Fatburger Restaurants,
Shoe Pavilion, Central Metal, Inc., Bodies In Motion, Inc., and the Offcial
Committee of Unsecured Creditors of Halcyon Holding Group. Prior
to joining the frm in 2003, Ms. Oh specialized in the representation of
individuals in Chapter 7 and Chapter 13 cases and worked as an extern
with the Offce of the U.S. Trustee, Central District of California. Ms. Oh is a
graduate of Stanford University and obtained her law degree from University
of California Los Angeles. She was admitted to the California Bar in 2000,
is a member of the Korean American Bar Association, California Bankruptcy
Forum and Los Angeles Bankruptcy Forum.
pg 1 of 1
Professional Resume
Juliet Y. Oh
jyo@lnbyb.com
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
TODD M. ARNOLD has been with LNBY&B since 2003. Mr. Arnold
specializes in corporate and high net worth individual reorganizations and
bankruptcy litigation. Mr. Arnold has served as counsel in several major
reorganization cases and in hundreds of avoidance actions. Mr. Arnold
joined LNBRB after serving as an extern and a law clerk to the Honorable
Thomas B. Donovan, United States Bankruptcy Judge. He has been voted
a Rising Star in a poll of his peers in Southern California each year since
2006. A native of Sacramento, Mr. Arnold graduated from the University of
California, Los Angeles with a B.A. in English and Loyola Law School, Los
Angeles, FXPODXGH, with a Juris Doctor degree and as a member of the
Order of the Coif.
pg 1 of 1
Professional Resume
Todd M. Arnold
tma@lnbyb.com
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
MICHELLE SHARONI GRIMBERG, born and raised in srael, was an
associate at Loeb & Loeb and Bingham McCutchen, prior to her joining
LNBY&B. Ms. Grimberg specializes in complex business litigation arising
before and during the bankruptcy reorganization process, in both state and
federal court. Ms. Grimberg handles all phases of litigation. Ms. Grimberg
has repeatedly been listed as a Rising Star in region-wide peer surveys, an
honor reserved on only a small percentage of Southern California attorneys.
Ms. Grimberg graduated from University of California, rvine, with a double
major in Psychology and Criminology, with honors. She then attended
University of California Hastings College of the Law where she obtained her
Law Degree. Ms. Grimberg was admitted to the California Bar in 2001.

pg 1 of 1
Professional Resume
Michelle
Sharoni
Grimberg
msg@lnbyb.com
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
ANTHONY A. FRIEDMAN specializes in the representation of debtors in
reorganizations and liquidations and Chapter 7 and Chapter 11 Trustees,
bankruptcy litigation, State Court litigation, and creditors committees.
Mr. Friedman is admitted to practice before all the Courts of the State of
California, the United States District Court, Central, Eastern, Northern and
Southern Districts, the Ninth Circuit Court of Appeals and the United States
Supreme Court. Mr. Friedman received his Juris Doctor degree from the
University of La Verne School of Law in 1999 and his Bachelor of Arts degree
from the University of California at San Diego in 1992. Prior to joining Levene
Neale Bender Yoo & Brill LLP, Mr. Friedman was a judicial extern for the
Honorable Kathleen Thompson, United States Bankruptcy Judge, Central
District of California, an associate at Weinstein, Eisen & Levine, an associate
at Weintraub & Aver, LLP, and most recently at Moldo Davidson Fraioli Seror
& Sestanovich LLP. Mr. Friedman is a member of the American Bankruptcy
nstitute, the Los Angeles County Bar Association, the Los Angeles
Bankruptcy Forum, the California Bankruptcy Forum, the Financial Lawyer's
Conference, the Commercial Law League of America, the Beverly Hills Bar
Association and the San Fernando Valley Bar Association. Mr. Friedman
is also a volunteer in the Public Counsel Law Center Bankruptcy pro bono
project.
pg 1 of 1
Professional Resume
Anthony A.
Friedman
aaf@lnbyb.com
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
CARMELA T. PAGAY, an associate at LNBY&B, specializes in
representation of debtors in reorganizations and liquidations, creditor
committees, and Chapter 7 and Chapter 11 trustees, and bankruptcy
litigation. Ms. Pagay received her Bachelor of Arts Degree in Political
Science from the University of California, Los Angeles in 1994, and her
Juris Doctor from Loyola Law School, Los Angeles in 1997, where she
was Senior Production Editor of the Loyola of Los Angeles nternational
and Comparative Law Journal. Ms. Pagay is admitted to practice before
the United States District Court, Central, Eastern, Northern, and Southern
Districts, the Ninth Circuit Court of Appeals, and the United States Supreme
Court. She is currently a member of the Beverly Hills Bar Association,
Bankruptcy Section Executive Committee, the Los Angeles County Bar
Association, and the Women Lawyers Association of Los Angeles, and is
also an editorial board member of the Los Angeles Lawyer magazine.
pg 1 of 1
Professional Resume
Carmela T.
Pagay
ctp@lnbyb.com
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
JOHN-PATRICK M. FRITZ joined LNBYB as an associate in 2009. Prior to
joining the frm, Mr. Fritz served for two years as law clerk to the Honorable
Maureen A. Tighe, United States Bankruptcy Judge for the Central District
of California. Mr. Fritz graduated magna cum laude from Southwestern Law
School as a Law Review Editor and Moot Court oralist. He received his
undergraduate degree cum laude with thesis honors from Tufts University.
Mr. Fritz focuses his practice on corporate bankruptcy and restructuring. He
is a member of the Financial Lawyers Conference and the Japan America
Society. Mr. Fritz worked for two years in government and law offces in
Japan and is profcient in reading, writing, and speaking Japanese.
pg 1 of 1
Professional Resume
John-Patrick
M. Fritz
jpf@lnbyb.com
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
KRIKOR J. MESHEFEJIAN represents clients in business reorganization
and related litigation matters. He has assisted clients such as single asset
real estate debtors, multi-million dollar enterprises, small businesses and
individuals in successfully and effciently navigating the reorganization
process.
Prior to joining the frm in 2008, Mr. Meshefejian clerked for the Honorable
Geraldine Mund and the Honorable Victoria S. Kaufman, United States
Bankruptcy Judges. Mr. Meshefejian obtained his J.D. in 2007, magna cum
laude, from the University of llinois College of Law, where he served as
senior editor for the llinois Business Law Journal and received the Rickert
Award for excellence in legal writing. He is a member of the State Bar of
California and the American Bankruptcy nstitute.
pg 1 of 1
Professional Resume
Krikor J.
Meshefejian
kjm@lnbyb.com
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
LINDSEY L. SMITH joined LNBYB as an associate in February 2010. Ms.
Smith obtained her law degree cum laude from Loyola Law School, where
she was a member of the Alpha Sigma Nu and the St. Thomas More Honor
Society, and recipient of the First Honors Award in Election Law. Ms. Smith
obtained a B.A. in political science with an emphasis in American Politics
from Boston University. Ms. Smith is a member of the Beverly Hills Bar
Association.
pg 1 of 1
Professional Resume
Lindsey L. Smith
lls@lnbyb.com
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 WWW.LNBYB.COM
Gwendolen
D. Long
gdl@lnbyb.com
GWENDOLEN D. LONG joined LNBY&B as an associate in 2010. She
specializes in corporate bankruptcy and restructuring, including representing
individual creditors and creditors committees in out-of-court and Chapter
11 reorganizations. Ms. Long is admitted to practice in New York and
Massachusetts, and her admission to the California bar is pending.
Prior to joining the frm, Ms. Long worked for three years at a bankruptcy
boutique frm in New York, representing parties to the Lehman Brothers,
Visteon Corp., and Herbst Gaming Chapter 11 proceedings. Ms. Long
received her juris doctorate from Georgetown University Law Center. She
received her masters from Boston College and her undergraduate degree
from California State University, Sacramento.



Professional Resume
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EXHIBIT "D"





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LAW OFFICES
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
10250 Constellation Boulevard, Suite 1700
Los Angeles, California 90067
Telephone No. (310) 229-1234
Telecopier No. (310) 229-1244

2011 HOURLY BILLING RATES


ATTORNEYS RATE

DAVID W. LEVENE $ 595.00

DAVID L. NEALE 595.00

RON BENDER 595.00

MARTIN J. BRILL 595.00

TIMOTHY J. YOO 595.00

EDWARD M. WOLKOWITZ 595.00

DAVID B. GOLUBCHIK 575.00

MONICA Y. KIM 550.00

BETH ANN R. YOUNG 550.00

DANIEL H. REISS 550.00

IRVING M. GROSS 550.00

PHILIP A. GASTEIER 550.00

JACQUELINE L. JAMES 495.00

JULIET Y. OH 495.00

MICHELLE S. GRIMBERG 495.00

TODD M. ARNOLD 495.00

TODD A. FREALY 495.00

ANTHONY A. FRIEDMAN 435.00

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2
CARMELA T. PAGAY 435.00

KRIKOR J. MESHEFEJIAN 375.00

JOHN-PATRICK M. FRITZ 375.00

GWENDOLEN D. LONG 345.00

LINDSEY L. SMITH 275.00

PARAPROFESSIONALS 195.00




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This form is mandatory. It has been approved for use by the United States Bankruptcy Court for the Central District of California.
August 2010 F 9013-3.1.PROOF.SERVICE
NOTE: When using this form to indicate service of a proposed order, DO NOT list any person or entity in Category I.
Proposed orders do not generate an NEF because only orders that have been entered are placed on the CM/ECF docket.

PROOF OF SERVICE OF DOCUMENT

I am over the age of 18 and not a party to this bankruptcy case or adversary proceeding. My business address is:

10250 Constellation Boulevard, Suite 1700, Los Angeles, CA 90067

A true and correct copy of the foregoing document described as FOURTH INTERIM APPLICATION OF LEVENE,
NEALE, BENDER, YOO & BRILL L.L.P. FOR APPROVAL OF FEES AND REIMBURSEMENT OF EXPENSES;
DECLARATION OF RON BENDER, ESQ. will be served or was served (a) on the judge in chambers in the form and
manner required by LBR 5005-2(d); and (b) in the manner indicated below:

I. TO BE SERVED BY THE COURT VIA NOTICE OF ELECTRONIC FILING (NEF) Pursuant to controlling General
Order(s) and Local Bankruptcy Rule(s) (LBR), the foregoing document will be served by the court via NEF and hyperlink
to the document. On December 1, 2011, I checked the CM/ECF docket for this bankruptcy case or adversary proceeding
and determined that the following person(s) are on the Electronic Mail Notice List to receive NEF transmission at the email
address(es) indicated below:
Service information continued on attached page

II. SERVED BY U.S. MAIL OR OVERNIGHT MAIL (indicate method for each person or entity served):
On December 1, 2011, I served the following person(s) and/or entity(ies) at the last known address(es) in this bankruptcy
case or adversary proceeding by placing a true and correct copy thereof in a sealed envelope in the United States Mail,
first class, postage prepaid, and/or with an overnight mail service addressed as follows. Listing the judge here constitutes
a declaration that mailing to the judge will be completed no later than 24 hours after the document is filed.

Served by Overnight Mail
The Hon. Theodor C. Albert
United States Bankruptcy Court
411 West Fourth Street
Santa Ana, CA 92701
Service information continued on attached page

III. SERVED BY PERSONAL DELIVERY (indicate method for each person or entity served): Pursuant to F.R.Civ.P. 5
and/or controlling LBR, on December 1, 2011, I served the following person(s) and/or entity(ies) by personal delivery, or
(for those who consented in writing to such service method), by facsimile transmission and/or email as follows. Listing the
judge here constitutes a declaration that personal delivery on the judge will be completed no later than 24 hours after the
document is filed.

Service information continued on attached page

I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct.

December 1, 2011 Lourdes Cruz /s/ Lourdes Cruz
Date Type Name Signature

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Main Document Page 157 of 159

This form is mandatory. It has been approved for use by the United States Bankruptcy Court for the Central District of California.
August 2010 F 9013-3.1.PROOF.SERVICE
I. TO BE SERVED BY THE COURT VIA NOTICE OF ELECTRONIC FILING (NEF)
Raymond G Alvarado ralvarado@alvaradosmith.com
Todd M Arnold tma@lnbyb.com
Phillip Ashman mgolod@mcqueenashman.com,
pashman@mcqueenashman.com;bkumamoto@mcqueenashman.com
Richard L Barnett rick@barnettrubin.com, rlbsec@barnettrubin.com
Ron Bender rb@lnbyb.com
Eric S Bershatski ericbershatski@tilemlaw.com
Ronald K Brown rkbgwhw@aol.com
Donald H Cram dhc@severson.com
Jennifer Witherell Crastz jcrastz@hemar-rousso.com
Ryan S Fife ryan.fife@dbr.com, mary.avila@dbr.com;docket_la@dbr.com
Carol J Fogleman mfrost@bwslaw.com
Anthony A Friedman aaf@lnbrb.com
John-patrick M Fritz jpf@lnbrb.com
Jeffrey K Garfinkle bkgroup@buchalter.com, jgarfinkle@buchalter.com;jmealey-
hatch@buchalter.com;docket@buchalter.com
Fredric Glass fglass@fairharborcapital.com
Nancy S Goldenberg nancy.goldenberg@usdoj.gov
D Edward Hays ehays@marshackhays.com, ecfmarshackhays@gmail.com
Michael J Heyman michael.heyman@klgates.com
Mark D Houle mark.houle@pillsburylaw.com
Jacqueline L James jlj@lnbyb.com
Jeff D Kahane jkahane@duanemorris.com
Andy Kong Kong.Andy@ArentFox.com
Rodger M Landau rlandau@lgbfirm.com, kmoss@lgbfirm.com
Matthew A Lesnick matt@lesnicklaw.com
Michael B Lubic michael.lubic@klgates.com
Frank F McGinn ffm@bostonbusinesslaw.com
Elissa Miller emiller@sulmeyerlaw.com, asokolowski@sulmeyerlaw.com
Kerry A Moynihan kerry.moynihan@hro.com, raul.morales@hro.com
Aram Ordubegian ordubegian.aram@arentfox.com
Ernie Zachary Park ernie.park@bewleylaw.com
Richard Park Richard.Park@usdoj.gov
Justin E Rawlins jrawlins@winston.com, docketla@winston.com
Benjamin Seigel bseigel@buchalter.com, IFS_filing@buchalter.com
David B Shemano dshemano@pwkllp.com
Philip E Strok pstrok@wgllp.com
United States Trustee (SA) ustpregion16.sa.ecf@usdoj.gov
Howard J Weg hweg@pwkllp.com
Sharon Z Weiss sharon.weiss@hro.com, raul.morales@hro.com
Joseph M Welch jwelch@buchalter.com, jmealey-hatch@buchalter.com;docket@buchalter.com
Johnny White , seb@blakeleyllp.com;bblakeley@blakeleyllp.com;rclifford@blakeleyllp.com
Case 8:10-bk-16743-TA Doc 637 Filed 12/01/11 Entered 12/01/11 13:22:38 Desc
Main Document Page 158 of 159

This form is mandatory. It has been approved for use by the United States Bankruptcy Court for the Central District of California.
August 2010 F 9013-3.1.PROOF.SERVICE
II. SERVED BY U.S. MAIL
In re Westcliff Medical Laboratories
In re BioLabs, Inc.
File No. 4367

Service by U.S. MAIL
or NEF if marked with *

Debtors
Westcliff Medical Laboratories, Inc.
BioLabs, Inc.
c/o FTI Consulting
633 West Fifth Street, 16th Floor
Los Angeles, CA 90071
Committee-RSN
Benjamin Seigel/Jeffrey Garfinkle NEF *
Buchalter Nemer
1000 Wilshire Boulevard, Suite 1500
Los Angeles, California 90017-2457

Frank Cadigan
Nancy Goldenberg
Terry Biers
Office of the U.S. Trustee
411 West Fourth St. Suite 9041
Santa Ana, CA 92701




Creditor Committee


SPECIALTY LABORATORIES
Attn: Sharon Z. Weiss NEF *
Holes Roberts & Owen LLP
800 W. Olympic Blvd., 4th Floor
Los Angeles, CA 90015-1367

SIEMENS HEALTHCARE
DIAGNOSTICS
Attn: Yesim Brisbane
P.O. Box 6101, MS 802
Newark, DE 19714-6101

ROCHE DIAGNOSTICS
CORPORATION
Attn: Wayne Mathias
9115 Hague Road
Indianapolis, IN 46250

DIASORIN INC.
Attn: Neal Domeyer
1951 Northwestern Avenue
P.O. Box 285
Stillwater, MN 55082


QIAGEN
Attn: Jonathan Isaac
1201 Clopper Road
Gaithersburg, MD 20878

IRVINE CORPORATE CENTER, LLC
Attn: Jim Savory
252 Clayton Street
Denver, CO 80206

GENZYME CORPORATION
Attn: D. Ross Martin
Ropes & Gray LLP
One International Place
Boston, MA 02110




Case 8:10-bk-16743-TA Doc 637 Filed 12/01/11 Entered 12/01/11 13:22:38 Desc
Main Document Page 159 of 159

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