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SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

Leonard M. Shulman Bar No. 126349 Melissa Davis Lowe Bar No. 245521 SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive, Suite 600 Irvine, California 92618 Telephone: (949) 340-3400 Facsimile: (949) 340-3000 Email: lshulman@shbllp.com; mlowe@shbllp.com General Counsel for the Official Committee of Unsecured Creditors for the bankruptcy estate of Ezri Namvar and Special Claims Counsel to R. Todd Neilson, Chapter 11 Trustee UNITED STATES BANKRUPTCY COURT CENTRAL DISTRICT OF CALIFORNIA, LOS ANGELES DIVISION

In re EZRI NAMVAR, Debtor.

Case No. 2:08-bk-32349-BR Chapter 11 FIFTH INTERIM APPLICATION FOR APPROVAL OF FEES AND REIMBURSEMENT OF EXPENSES BY SHULMAN HODGES & BASTIAN LLP, ATTORNEYS FOR THE OFFICIAL COMMITTEE OF UNSECURED CREDITORS; AND SECOND INTERIM APPLICATION FOR APPROVAL OF FEES AND REIMBURSEMENT OF EXPENSES OF SHULMAN HODGES & BASTIAN LLP, SPECIAL CLAIMS COUNSEL FOR R. TODD NEILSON, CHAPTER 11 TRUSTEE; DECLARATION OF LEONARD M. SHULMAN IN SUPPORT THEREOF Date: Time: Place: October 22, 2013 2:00 p.m. Courtroom 1668 Edward R. Roybal Federal Building and Courthouse 255 E. Temple Street Los Angeles, CA 90012

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TABLE OF CONTENTS Page I. II. INTRODUCTION ............................................................................................................... 4 FEE APPLICATION ........................................................................................................... 4 A. B. C. D. Case Background Information ................................................................................. 4 Employment of the Firm by the Namvar Committee .............................................. 5 Employment of the Firm by the Namvar Trustee .................................................... 6 Summary of Prior Fee Applications ........................................................................ 7 1. 2. E. F. G. H. I. J. As Counsel for the Namvar Committee ....................................................... 7 As Special Claims Counsel for the Namvar Trustee ................................... 7

Summary of Fees and Expenses Requested Herein ................................................. 8 Estimated Accrued Administration Expenses .......................................................... 8 Funds on Hand ......................................................................................................... 8 Overview of Necessary and Valuable Services Rendered by the Firm as General Counsel to the Namvar Committee ............................................................ 9 Overview of Necessary and Valuable Services Rendered by the Firm as Special Claims Counsel to the Namvar Trustee .................................................... 10 Billing Records ...................................................................................................... 12 1. 2. 3. General Counsel to the Namvar Committee .............................................. 12 Special Claims Counsel to the Namvar Trustee ........................................ 13 Billing Record Exhibits and Firm Biography Exhibits .............................. 14

III.

NARRATIVE SUMMARY OF SERVICES PERFORMED BY PROJECT CATEGORY AS COUNSEL TO THE NAMVAR COMMITTEE.................................. 16 A. B. C. D. E. F. Estate Analysis ....................................................................................................... 16 Asset Disposition ................................................................................................... 17 Business Matters (Errors and Omissions Insurance/Management of DIP Debtors).................................................................................................................. 19 Case Administration............................................................................................... 20 Claims Administration/Objections......................................................................... 21 Fee Application ...................................................................................................... 22 2

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G. H. I. J. K. L. M. N. IV.

Fee/Employment Objections .................................................................................. 23 Meetings of Creditors ............................................................................................ 23 Plan and Disclosure Statement............................................................................... 24 Employment ........................................................................................................... 28 Trade Creditor Avoidance Litigation ..................................................................... 29 Litigation Insider Avoidance .............................................................................. 29 Litigation - Discharge ............................................................................................ 30 Settlement of Various Disputes/Litigation............................................................. 30

NARRATIVE SUMMARY OF SERVICES PERFORMED BY PROJECT CATEGORY AS SPECIAL CLAIMS COUNSEL TO THE NAMVAR TRUSTEE .......................................................................................................................... 33 A. B. Claims Administration/Objections......................................................................... 33 Employment ........................................................................................................... 36

V. VI. VII.

CLIENT COMMENTS ON THE FEE APPLICATION ................................................... 36 THE FEE APPLICATION COMPLIES WITH LOCAL BANKRUPTCY RULES ........ 36 CONCLUSION .................................................................................................................. 37

DECLARATION OF LEONARD M. SHULMAN....................................................................... 38

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SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

TO THE HONORABLE BARRY RUSSELL, UNITED STATES BANKRUPTCY JUDGE: I. INTRODUCTION

Pursuant to the provisions of Bankruptcy Code Sections 330 and 331, Rule 2016 of the Federal Rules of Bankruptcy Procedure and Local Bankruptcy Rule 2016-1, Shulman Hodges & Bastian LLP (Firm) applies to this Court for an order allowing fees and costs as set forth in this Fifth Interim Application for Approval of Fees and Reimbursement of Expenses by Shulman Hodges & Bastian LLP, Attorneys for the Official Committee of Unsecured Creditors; and Second Interim Application for Approval of Fees and Reimbursement of Expenses of Shulman Hodges & Bastian LLP, Special Claims Counsel for R. Todd Neilson, Chapter 11 Trustee (Fee Application); and directing the bankruptcy estate (Estate) of Ezri Namvar (Debtor) to pay the Firm on account of such allowance. II. A. Case Background Information On December 22, 2008 (Petition Date), involuntary chapter 11 petitions were filed against Namco Capital Group, Inc. (Namco) and the Debtor. Namco is a California FEE APPLICATION

corporation of which the Debtor is the President, Chief Financial Officer, sole director and sole shareholder. On February 13, 2009, the Office of the United States Trustee (OUST) appointed the Official Committee of Unsecured Creditors for the Debtors Estate (Namvar Committee) and the Official Committee of Unsecured Creditors for the bankruptcy estate of In re Namco Capital Group, Inc. (Namco Committee) (together, referred to as Committees). Pursuant to Order entered March 11, 2009, R. Todd Neilson (Namvar Trustee) was appointed as the Chapter 11 trustee for the Debtors Estate. On May 8, 2009, the Court entered an order approving the appointment of Bradley D. Sharp as the chapter 11 trustee for the Namco bankruptcy estate (Namco Trustee and collectively with the Namvar Trustee, the Chapter 11 Trustees). On June 19, 2009, involuntary petitions were filed against Beshmada, LLC (Beshmada), Beshmada of Delaware, LLC (Beshmada DE) and Dimes, LLC (Dimes) by 4
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the Namco Trustee. (Beshmda, Beshmada DE and Dimes are collectively referred to herein as the DIP Debtors). Namco is the largest creditor of each of the DIP Debtors. Pursuant to stipulations between each of the DIP Debtors and the Namco Trustee, on July 1, 2010 (with respect to Beshmada), and July 2, 2010 (with respect to the other DIP Debtors), Orders for Relief were entered in each of the cases of the DIP Debtors. Although each DIP Debtor remains in possession and control of its assets as debtor in possession, the manager of each DIP Debtor is Louis A. Cicalese, who was appointed as the successor manager of each DIP Debtor on or about July 2, 2009 (pursuant to a stipulation among the Chapter 11 Trustee and the Debtor), which stipulation was approved by the Court. The Court has approved the adequacy of a Joint Disclosure Statement (discussed below) (docket 1574). The Court has also entered a Solicitation Procedures Order (docket number 1573) pursuant to which the Court, among other things, set various plan confirmation related dates. A hearing on approval of the Joint Plan is scheduled for October 10-11, 2013. By the time of hearing on this Fee Application, it believed that the Joint Plan will have been confirmed by the Court. Further information regarding the status of administration of the case will be provided in the interim application for fees and reimbursement of expenses by Danning, Gill, Diamond & Kollitz, LLP (DGD&K), general counsel to the Namvar Trustee (DGD&K Application) and is incorporated herein by reference pursuant to Local Bankruptcy Rule 2016-1(a)(1)(A)(iv). B. Employment of the Firm by the Namvar Committee Upon the application of the Namvar Committee and pursuant to an Order entered on April 7, 2009, the Firm was authorized to be employed as the Namvar Committees counsel in this case effective as of February 20, 2009 to render professionals services to the Namvar Committee which may include, without limitation: Advise the Namvar Committee with respect to its rights, powers, duties and

obligations as the official committee of creditors holding unsecured claims of the Debtors bankruptcy case.

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Prepare pleadings, applications and conduct examinations incidental to

administration of this case and to protect the interests of the unsecured creditors of this Estate. Advise and represent the Namvar Committee in its connection with all

applications, motions or complaints filed during the course of the administration of this case. Develop the relationship of the Namvar Committee with the Debtor in this

bankruptcy proceeding. Advise and assist the Namvar Committee in presentation of a plan of

reorganization by the Debtor or other entity pursuant to Chapter 11 of the Bankruptcy Code and concerning any and all matters relating thereto. Advise and assist the Namvar Committee in providing access to information to all

unsecured creditors, soliciting and receiving comments from unsecured creditors, and to disclose any information to unsecured creditors as required by the Court in compliance with Bankruptcy Code section 1102. Perform any and all other legal services incident and necessary herein for the

smooth administration of this bankruptcy case. C. Employment of the Firm by the Namvar Trustee Pursuant to an Order entered August 20, 2012 (docket number 1298), the Firm was authorized to be employed as the Namvar Trustees special claims counsel in this case to render professionals services to the Namvar Trustee which may include, without limitation: Review and analysis of the proofs of claim that have been filed against the

Namvar estate and consult with the Namvar Trustee concerning the administration of the claims filed in the bankruptcy case. Preparation of any documents and pleadings necessary to object to claims. Perform any and all other legal services incident and necessary herein related to

claims administration. //// ////

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D.

Summary of Prior Fee Applications 1. As Counsel for the Namvar Committee

The Firm has previously applied for and been awarded and paid fees and reimbursement of expenses for services performed on behalf of the Namvar Committee as follows: Time Period As Counsel for the Namvar Committee February 20, 2009 to September 30, 2009 Fees Requested: $120,749.00 (includes discount of $5,574.50) Expenses Requested: $7,433.75 Order entered November 11, 2009 As Counsel for the Namvar Committee October 1, 2009 to September 30, 2010 Fees Requested: $141,209.50 (less discount of $3,730.65) Expenses Requested: $10,062.87 Order entered November 23, 2010 As Counsel for the Namvar Committee October 1, 2010 to August 31, 2011 Fees Requested: $149,128.00 Expenses Requested: $3,831.74 Order entered November 7, 2011 As Counsel for the Namvar Committee September 1, 2011 to September 14, 2012 Fees Requested: $185,242.50 Expenses Requested: $2,635.08 Order entered October 29, 2012 Fees Allowed $120,749.00 Expenses Allowed $7,433.75 Totals $128,182.75

$141,209.50

$9,357.22

$150,566.72

$149,128.00

$3,831.74

$152,959.74

$185,242.50

$2,635.08

$187,877.58

Total Allowed Fees and Expenses $596,329.00 Less Payments Received on Prior Awards ($399,713.51) Balance Due on Prior Awards $196,615.49 2.

$23,257.79 ($20,622.71) $2,635.08

$619,586.79 ($420,336.22) $199,250.57

As Special Claims Counsel for the Namvar Trustee

The Firm has previously applied for and been awarded and paid fees and reimbursement of expenses for services performed on behalf of the Namvar Trustee as follows:

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Time Period Special Claims Counsel for Namvar Trustee March 14, 2012 to September 14, 2012 Fees Requested: $21,529.50 Expenses Requested: $1,066.88 Order entered October 29, 2013

Fees Allowed $21,529.50

Expenses Allowed $1,066.88

Totals $22,596.38

Total Allowed Fees and Expenses $21,529.50 Less Payments Received on Prior Awards ($.00) Balance Due on Prior Awards $21,529.50

$1,066.88 ($.00) $1,066.88

$22,596.38 ($.00) $22,596.38

E.

Summary of Fees and Expenses Requested Herein By this Fee Application and as set forth in more detail below, the Firm is seeking an

allowance and payment of fees and reimbursement of expenses as follows: Capacity/Time Period Fifth Interim Fee Application As Counsel for the Namvar Committee September 15, 2012 to September 25, 2013 Second Interim Fee Application As Special Claims Counsel for the Namvar Trustee September 15, 2012 to September 25, 2013 Fees $78,287.50 Expenses $1,221.50

$96,505.50

$3,201.18

Total $174,793.00

$4,422.68

F.

Estimated Accrued Administration Expenses A discussion of the estimated accrued administrative expenses in this case will be set

forth in the DGD&K Application to be filed and heard concurrent with the Firms Fee Application and is incorporated herein by this reference pursuant Local Bankruptcy Rule 20161(a)(1)(A)(iv). The work in this case has not concluded and the Firm will be seeking additional fees and expenses in in amounts that are to be determined. G. Funds on Hand A discussion of the estimated amount of funds on hand and available for distribution to professionals will be set forth in the DGD&K Application to be filed and heard concurrent with 8
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the Firms Fee Application and is incorporated herein by this reference pursuant Local Bankruptcy Rule 2016-1(a)(1)(A)(iv). H. Overview of Necessary and Valuable Services Rendered by the Firm as General Counsel to the Namvar Committee The services rendered by the Firm were necessary and valuable and have assisted the Namvar Committee in performing its duties under the Bankruptcy Code. On a continuing basis, and to the exclusion of other matters, the Firm has worked to investigate assets of the Estate, investigate claims against the Estate, explore alternative strategies regarding the resolution of this case, and investigate and address matters including, but not limited to, motions requesting approval of numerous sales of assets and compromises, disposition of estate assets, issues regarding the effectiveness of the management of the five bankruptcy estates, issues regarding disputed claims, and development of and obtaining Court approval of a disclosure statement and a plan of reorganization. Throughout the administration of this case, the Firm has at all times attempted to work closely with all parties to these active related cases with the common goal of working cooperatively toward proposing a consensual plan of reorganization. Initially, the Committees and the Chapter 11 Trustees were not able to reach an agreement and the Committees elected to jointly propose their own plan and disclosure statement. Thereafter, through the efforts of the Firm on the Namvar Committees behalf, the Chapter 11 Trustees and the Debtors were able to reach an agreement and a consensual Joint Plan and Joint Disclosure Statement was filed (proposed by the Chapter 11 Trustees and the Debtors and consented to by the Namvar Committee). This consensual Joint Plan was the result of many, many months of negotiations and the culmination of extensive investigation concerning the financial affairs and operations of the five related debtors and efforts to address claims by and among the five estates in real estate, litigation recoveries and other assets involving a labyrinth of approximately 400 limited liability companies and a complex web of ownership structures created by the Debtor. The five estates assets include real property and real property related assets and other non-cash assets, including litigation rights (including litigation rights to recover property not within the confines of the 9
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United States).

Unfortunately, after the Joint Plan and Disclosure Statement were filed,

negotiations broke down, the Committees could no longer support the Joint Plan and Disclosure Statement, and the Joint Disclosure Statement was never approved. Instead, the Chapter 11 Trustees filed their own Plan and Disclosure Statement. The Court has approved the adequacy of the Disclosure Statement (docket 1574). The Court has also entered a Solicitation Procedures Order (docket number 1573) pursuant to which the Court, among other things, set various plan confirmation related dates. A hearing on approval of the Plan is scheduled for October 10-11, 2013. By the time of hearing on this Fee Application, it believed that the Plan will have been confirmed by the Court. In summary, the Firm has undertaken this case to the exclusion of other matters, has performed valuable services that have been tailored to resolve this case and multiple disputes in the most beneficial, efficient and cost effective manner. In connection therewith, the Firm has been in constant communication with the Namvar Committee, the Chapter 11 Trustees, general counsel for the Chapter 11 Trustees, counsel for the DIP Debtors, creditors of the multiple bankruptcy estates and their counsel, and interested parties to resolve as many issues as possible prior to filing documents and/or lodging orders with the Court. In light of the active issues in the case and the results achieved so far, the Firms fees are reasonable and should be approved. I. Overview of Necessary and Valuable Services Rendered by the Firm as Special Claims Counsel to the Namvar Trustee The Firm has expended time assisting the Namvar Trustee in the analysis and objections to claims against the Debtors Estate. This has not been an easy task due to the number of claims filed and the extent and nature of the Debtors financial affairs. 1

For more than twenty years, Namco solicited loans from third parties (primarily individuals) and loaned these funds to other third parties. During the ten years that preceded the filing of the bankruptcy cases, substantially all of Namcos loans were made to entities controlled by the Debtor and/or members of the Debtors family. When the Debtors financial network collapsed in 2008, Namco owed over $650 million to approximately 230 creditorlenders. At the time the involuntary petition was filed, many of the assets acquired with Namco's funds were in the process of being foreclosed upon, or were in financial distress. There have been approximately 250 proofs of claim filed just in the Debtors bankruptcy case, many of which are based on the Debtors alleged personal guaranties of loans to Namco. 10
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In addition, objecting to late filed claims was not a routine matter as the Debtor never filed Bankruptcy Schedules and given the large nature of the case, the Namvar Trustee was aware that he might not know about all possible creditors of the Estate and/or have proper contact information for creditors to serve them with notice of a deadline for filing claims. As such, in efforts to advise creditors of the deadline for filing claims, advertisements were placed in late October 2009 in the Los Angeles Times and in Sobh Iran to advise potential creditors of the deadline for filing claims. This out of the ordinary process gave rise to oppositions being filed to the Namvar Trustees objections to certain late filed claims, which required services by the Firm to respond to the oppositions. Objecting to duplicate claims was not an easy task as well. The numerous claims filed in the case had to be scrutinized for amounts alleged to be owed by different entities but for which the claims were identical to other filed claims, with the only difference being the name of the disputed claimant. For example, there have been seven claims filed by different entities totaling $70,000,000 which are based on an underlying action pending in the Los Angeles Superior Court, Case No. LC086520 (State Court Action). Specifically, the claims are each based on a Cross-Complaint filed by the claimants against the Debtor for damages, injunctive relief, rescission, reformation and cancellation. The Cross-Complaint alleges multiple causes of action against the Debtor, including breach of fiduciary duty, fraud, misrepresentation, and breach of contract relating to multiple business transactions between the claimants and the Debtor in his capacity as owner and Chairman of Security Pacific Bank. The claims made in the State Court Action are mere conjecture and there has been no determination of liability on behalf of the Debtor. It does not appear that the disputed claimants have obtained a judgment against the

Debtor in the State Court Action and in fact, it appears the Cross-Complaint has been dismissed. A hearing on this Omnibus Motion objecting to the seven disputed claims is scheduled for hearing on October 15, 2013. Despite the difficulties in the case, the Firm has assisted the Namvar Trustee to successfully file and prosecute several Motions objecting to numerous claims and has achieved the following beneficial results: (1) reduce claims against Estate by over $43,000,000, (2) 11
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reclassify $740,000 of alleged priority claims to non-priority general unsecured claims, (3) by the time of hearing on this Fee Application, it is anticipated that the Firm will have assisted the Namvar Trustee to reduce claims against the Estate by an additional $70,000,000, and (4) it is anticipated that the Firm will file a Motion objecting to several alleged secured claims totaling approximately $36,716,130.74 to request such disputed claims be reclassified as non-priority general unsecured claims against the Estate. In summary, the services rendered by the Firm have assisted the Namvar Trustee in performing his fiduciary duties to the Estate and its creditors under the Bankruptcy Code. The Firm has been successful in assisting the Namvar Trustee to substantially reduce claims against the Estate (by over $43,000,000 to date), thereby greatly benefiting the Estate and its unsecured creditors. In light of the issues addressed and results achieved, the Firms fees herein are reasonable and should be approved. J. Billing Records The Firms time records are billed in tenth of an hour increments and are kept on a computer system. As set forth below, the Firm has classified it services into separate project categories. The Firm has placed each service performed in the applicable project category that it best relates. However, because certain services may relate to one or more project categories, some similar tasks may have been placed different project categories. In the normal course of business, the Firm maintains records of the expenses incurred on behalf of its clients. The Firm charges twenty cents per page for photocopies and charges for postage when there are multiple envelopes mailed at one time. Records for messenger services are kept as they are incurred and input on the computer system. Messenger services are only used when it is crucial that document delivery be made immediately or by the next day. The Firm charges fifty cents per page for facsimile transmissions and keeps a daily log of the same which is input on the computer system. 1. General Counsel to the Namvar Committee

The computer records show that the Firm has expended 200.30 hours in providing services as general counsel to the Namvar Committee during the period from 12
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September 15, 2012 through September 25, 2013, for total fees of $78,287.50, at a blended hourly rate of $390.85. The billing records indicate that the Firm has incurred expenses on behalf of the Namvar Committee totaling $1,221.50 as follows: Expense Attorney/Messenger Service Federal Express PACER charges Photocopy Parking Expense for Court Appearances Postage Computer Research Total 2. Total $16.00 $106.46 $511.08 $395.80 $40 $133.36 $18.80 $1,221.50

Special Claims Counsel to the Namvar Trustee

The computer records show that the Firm has expended 342.20 hours in providing services as special claims counsel to the Namvar Trustee during the period from September 15, 2012 through September 25, 2013, for total fees of $96,505.50, at a blended hourly rate of $282.01. The billing records indicate that the Firm has incurred expenses on behalf of the Namvar Trustee totaling $3,201.18 as follows: Expense PACER charges Attorney and Messenger Service Photocopy Postage Federal Express Parking Expense for Court Appearances Computer Research Total Total $216.48 $72 $2,466.60 $283.71 $8.32 $8.00 $146.07 $3,201.18

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3.

Billing Record Exhibits and Firm Biography Exhibits

In compliance with LBR 2016-1, attached hereto as Exhibit 1, 2 and 3 to the Declaration of Leonard M. Shulman (Shulman Declaration) are the Firms time and billing statements and biographical information as follows: Exhibit 1: Time and expense records as counsel for the Namvar Committee for the

period of September 25, 2012 through September 25, 2013. Four attorneys and two paralegals have performed services in connection with this case at their usual hourly rates as shown on Exhibit 1. The summary of fees by task and the summary of fees by month for each

professional are set forth on Exhibit 1 at pages 37 through 44. The hourly rates in effect, the total hours and the total fees by each professional is as follows: Professional Name Leonard M. Shulman Attorney Ronald S. Hodges Attorney Melissa Davis Lowe Attorney Melissa Davis Lowe Attorney Rika M. Kido Attorney Erlanna Lohayza Paralegal Lorre Clapp Paralegal Hourly Rate $525 $525 $325 $375 $300 $195 $195 Time Period in the Fee Application Entire Reporting Period Entire Reporting Period Through 12/31/2012 Effective 1/1/2013 Effective 1/1/2013 Entire Reporting Period Entire Reporting Period Total Hours 90.90 .80 15.70 37.90 1.00 33.20 20.80 Total Fees $47,722.50 $420 $5,102.50 $14,212.50 $300 $6,474 $4,056 $78,287.50

Totals 200.30

The detail of expenses incurred by the Firm on behalf of the Namvar Committee is shown on Exhibit 1 at pages 30 through 36. The summary of expenses by each category and the summary of expenses by month are included on Exhibit 1 at pages 45 through 47. Exhibit 2: Time and expense records as counsel for the Namvar Trustee for the

period of September 15, 2012 through September 25, 2013. Four attorneys and three paralegals 14
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have performed services in connection with the services for the Namvar Trustee at their usual hourly rates as shown on Exhibit 2. The summary of fees by task and the summary of fees by month for each professional are set forth on Exhibit 2 at pages 56 through 61. The hourly rates in effect, the total hours and the total fees by each professional is as follows: Professional Name Leonard M. Shulman Attorney Melissa Davis Lowe Attorney Melissa Davis Lowe Attorney Rika M. Kido Attorney Rika M. Kido Attorney Michelle Choi Attorney Michelle Choi Attorney Erlanna Lohayza Paralegal Steven Swartzell Paralegal Ann Marie Vernon Paralegal Hourly Rate $525 $325 $375 $250 $300 $195 $225 $195 $175 $175 Time Period in the Fee Application Entire Reporting Period Through 12/31/2012 Effective 1/31/2013 Through 12/31/2012 Effective 1/31/2013 Through 12/31/2012 Effective 1/31/2013 Entire Reporting Period Total Hours 19.60 10.60 23.80 13.30 145.60 3.40 63.50 48.50 Total Fees $10,290 $3,445 $8,925 $3,325 $43,680 $663 $14,287.50 $9,457.50 $997.50 $1,435 $96,505.50

Entire Reporting Period 5.70 Entire Reporting Period 8.20 Totals 342.20

The detail of expenses incurred by the Firm on behalf of the Namvar Trustee is shown on Exhibit 2 at pages 50 through 55. The summary of expenses by each category and the summary of expenses by month are included on Exhibit 2 at pages 62 through 65. Exhibit 3: A brief biography of each professional of the Firm who has expended

time on this case. The Firm is a professional law firm comprised of attorneys duly licensed to practice in the State of California and various United States District Courts, including the Central District of 15
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California. The Firm specializes in bankruptcy reorganization and insolvency law. All services for which compensation are sought were rendered by the Firm. No agreement has been made by any member of the Firm or by any employee thereof, directly or indirectly, and no understanding exists for a division of fees prayed for herein with any other person. The Firm has not entered into any agreement, written or oral, express or implied, with any other party or party in interest in the above-entitled case for the purpose of fixing the amount of any fees or compensation to be paid from the assets of the Debtors estate. III. NARRATIVE SUMMARY OF SERVICES PERFORMED BY PROJECT CATEGORY AS COUNSEL TO THE NAMVAR COMMITTEE A. Estate Analysis A summary of the hours and fees incurred by the Firm throughout the administration of this case in connection with the project category of Estate Analysis is as follows: Hours First Fee Application Fees previously requested Second Fee Application Fees previously requested Third Fee Application Fees previously requested Fourth Fee Application Fees previously requested Fifth Fee Application Fees not previously requested 15.60 32.60 15.30 3.20 .00 Fees $6,100.00 $12,038.50 $6,056.50 $1,247.50 $.00 $25,442.50 Blended Hourly Rate $ 391.03 $ 369.28 $ 395.85 $ 389.84 Not Applicable $ 381.45

Totals 66.70

Throughout the administration of this case, the Firm has provided services to the Namvar Committee related to the determination of the value of assets in the Estate, potential recoveries from other sources and the investigation of potential avoidance actions. In these efforts, the Firm has reviewed documents and has provided analysis of various issues for the Namvar Committees benefit. The Firm has worked closely with all parties to this active case and their counsel to discuss asset issues and strategy with respect to joint ownership situations between the 16
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estates. During this current period, the Firm has not incurred additional fees in this project category. B. Asset Disposition A summary of the hours and fees incurred by the Firm in the category of Asset Disposition is as follows: Hours First Fee Application Fees previously requested Second Fee Application Fees previously requested Third Fee Application Fees previously requested Fourth Fee Application Fees previously requested Fifth Fee Application Fees not previously requested Exhibit 1, pages 2 through 5 8.00 111.30 13.00 108.90 32.10 Fees $2,360.00 $36,867.50 $5,731.50 $46,687.00 $15,617.50 Blended Hourly Rate $ 295.00 $ 331.24 $ 440.88 $ 428.71 $ 486.53

Total 273.3

$107,263.50

$ 392.48

During the period of time encompassed by this Fee Application, the Firm has reviewed and evaluated numerous pleadings and documents related to the disposition of assets and has provided recommendations to the Namvar Committee. In connection with the category of Asset Disposition, the Firm has provided services to the Estate which have included, but have not been limited to the following: Review and analyze the Motion for Order Authorizing (A) Disputed Secured

Claim Reserves to be Held in Non-Interest Bearing Accounts; and (B) Trustee to Hold Parox Member Reserves for Parox LLC; Memorandum of Points and Authorities and the Declarations of (1) Mandana Yedidsion, (2) Nicholas R. Troszak and (3) R. Todd Neilson in Support. Analysis of issues regarding possible interest bearing accounts to be used for the

disputed secured claims reserved.

17
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SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

Review and analysis of the Order Authorizing (A) Disputed Secured Claim

Reserves to be Held in Ezri Trustee and Beshmada in Non-Interest Bearing Accounts; and (B) Erri Trustee to Hold Reserves of Parox LLC for its Members. Review and analyze the Motion of Beshmada, LLC for Order Establishing

Procedures for the sale of Tenant in Common Interest in Property (116.47 Acres of Pappas Ranch); Memorandum of Points and Authorities and the Declaration of Louis A. Cicalese in Support (Pistachio Farms Sale Motion). Numerous communications with the Namvar

Committee, counsel for Beshmada and others interested parties regarding the Pistachio Farms Sale Motion and bidding procedures to be utilized. Review and analysis of an appraisal of the Pappas Ranch property and

communications with the Namvar Committee regarding same. Communications with potential overbidders on the Pappas Ranch property and

provide summary of bidding procedures for the Pappas Ranch property for review by possible overbidder. Multiple communications with the Namvar Committee members and other

interested parties regarding possible objections to the Pappas Ranch sale. Review and analyze order approving bidding procedures and setting sale hearing

on sale of Pappas Ranch and communications with the Namvar Committee regarding same. Review and analyze issues regarding the Stipulation of the Building TICS and

Neilson: (1) In Lieu of Neilson Having the Sole Authority to Seek Recovery of the FIRPTA Fund From the Taxing Authorities as Established in the Prior Order Entered on July 15, 2011, the Individual Taxpayers Who Have the Ultimate Beneficial Interests in the Building TICS Will Have Authority in Accordance with Thos Percentages Established by the Prior Order Entered on September 20, 2011 and (2) for Determination of the Dispute Regarding Whether Recovered FIRPTA Funds Should be Paid to the Building TICS According to Their Respective Interests Therein (FIRPTA Funds Stipulation). Stipulation. 18
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Communications with the Namvar Committee regarding the FIRPTA Funds

1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28
SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

Review and analysis of the Responding Brief of Wilshire Bundy Holdings, LLC

and Wilbun 7, LLC Concerning Turnover Dispute Regarding Recovery and Allocation of FIRPTA Funds. Review and analysis of the Namvar Trustees Responding Brief in Connection

with Hearing on the FIRPTA Funds Stipulation. Meeting with potential buyers to study assets available for sale. Multiple

communications with the Namvar Trustees counsel re issues related to the marketing and sale of assets. Review and analyze a report of real estate assets. Communications with interested

parties re proposed sales of remaining assets. In summary, all of the Firms services in connection with this project category were aimed toward assisting the Namvar Committee in its fiduciary duties to the unsecured creditors of the Estate. C. Business Matters (Errors and Omissions Insurance/Management of DIP Debtors) A summary of the hours and fees incurred by the Firm related to the Business Matters (Errors and Omissions Insurance Policy and Management of the DIP Debtors) is as follows: Hours First Fee Application Fees previously requested Second Fee Application Fees previously requested Third Fee Application Fees previously requested Fourth Fee Application Fees previously requested Fifth Fee Application Fees not previously requested Exhibit 1, page 6 9.20 7.80 .80 1.10 1.20 Fees $2,354.50 $1,773.00 $240.00 $457.50 $495 Blended Hourly Rate $ 255.92 $ 227.31 $ 300.00 $ 415.91 $ 412.50

Total 20.10

$5,320

$ 264.68

A small amount of time was incurred by the Firm related to insurance issues such as renewing the errors and omissions policy for the Namvar Committee, and discussions of such issues with the Namvar Committee and others. In addition, the Firm expended time on matters 19
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SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

addressing issues regarding the extended contract for Louis A. Cicalese as the manager of each of the DIP Debtors. D. Case Administration A summary of the hours and fees incurred by the Firm in the category of Case Administration is as follows: Hours First Fee Application Fees previously requested Second Fee Application Fees previously requested Third Fee Application Fees previously requested Fourth Fee Application Fees previously requested Fifth Fee Application Fees not previously requested Exhibit 1, pages 7 through 11 51.40 51.90 19.20 10.70 18.30 Fees $14,641.50 $12,382.00 $6,092.00 $3,619.00 $6,892.50 Blended Hourly Rate $ 284.85 $ 238.57 $ 317.29 $ 338.22 $ 376.64

Total 151.50

$43,627

$ 287.97

Throughout the administration of this case, the Firm has responded to concerns of and conferred with creditors and other interested parties, including the Namvar Committee members and attorneys and agents of creditors, addressing concerns about the status of the case and general informational inquiries. At all times, the Firm has strived to keep the Namvar

Committee well informed both through written correspondence and telephonic conferences as to the status of the case. In connection with the category of Case Administration, the Firm has provided services to the Namvar Committee which have included, but have not been limited to the following: On an ongoing basis, the Firm has advised the Namvar Committee regarding its

statutory duties to the Estate and unsecured creditors. Numerous and ongoing communications with creditors to provide information

regarding the status of the case.

20
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SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

Prepare and maintain a list of creditors and interested parties for service of notices

pursuant to Federal Rule of Bankruptcy Procedure 2002. Respond to creditor inquiries regarding procedures to change address information

with the Court. Prepare weekly updates to and maintain a website for creditors to access

regarding the status of the Namvar Case. Review and analyze status reports provided by the Chapter 11 Trustees. Review and analyze monthly operating reports. Discussions with Namvar Committee and other parties regarding miscellaneous

case matters that have arisen during the administration of this case. In summary, all of the Firms services related to Case Administration were aimed toward the smooth administration of the Namvar case and were necessary in order for the Firm to assist the Namvar Committee to comply with the Bankruptcy Code, the Federal Rules of Bankruptcy Procedure and the Local Bankruptcy Rules regarding the administration of the Estate and were necessary to assist the Namvar Committee in the fulfillment of its fiduciary duties to the Estate and creditors. E. Claims Administration/Objections A summary of the hours and fees incurred by the Firm in the category of Claims Administration/Objections is as follows: Hours First Fee Application Fees previously requested Second Fee Application Fees previously requested Third Fee Application Fees previously requested Fourth Fee Application Fees previously requested Fifth Fee Application Fees not previously requested 13.00 29.80 5.40 3.80 .00 Fees $3,788.00 $6,765.00 $1,674.50 $1,626.50 $.00 $13,854.00 21
Fee App Fifth Interim - Namvar.doc 3985-000\EXP. 26

Blended Hourly Rate $ 291.38 $ 227.01 $ 310.09 $ 428.03 Not Applicable $ 266.42

Total 52

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SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

During this current reporting period, the Firm has not performed any services on behalf of the Namvar Committee related to Claims Administration/Objections. Services related to Claims Administration/Objections during this current period were performed on behalf of the Namvar Trustee behalf and are discussed below, F. Fee Application A summary of the hours and fees incurred by the Firm in the category of Fee Application is as follows: Hours First Fee Application Fees previously requested Second Fee Application Fees previously requested Third Fee Application Fees previously requested Fourth Fee Application Fees previously requested Fifth Fee Application Fees not previously requested Exhibit 1, pages 12 through 15 3.50 25.00 38.40 27.40 47.60 Fees $710 $5,341 $8,598 $7,422.50 $10,489 Blended Hourly Rate $ 202.86 $ 213.64 $ 223.91 $ 270.89 $ 220.36

Total 141.90

$32,560.50

$ 229.46

During this reporting period, the Firm expended time completing the Firms prior Fee Application and commenced work on this current Fee Application. In preparing the Fee

Applications in this case, the Firm was required to expend time complying with the Local Bankruptcy Rule 2016-1. The Firm prepared for and attended a hearing on the prior Fee Application. All of the fees incurred in connection with this category were necessary and were incurred in compliance with the Bankruptcy Code, the Federal Rules of Bankruptcy Procedure, and the Local Bankruptcy Rules. In light of the requirements, the Firm believes the fees requested are very reasonable.

22
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SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

G.

Fee/Employment Objections A summary of the hours and fees incurred by the Firm in the category of

Fee/Employment Objections is as follows:

Hours First Fee Application Fees previously requested Second Fee Application Fees previously requested Third Fee Application Fees previously requested Fourth Fee Application Fees previously requested Fifth Fee Application Fees not previously requested Exhibit 1, page 16 6.10 17.00 8.70 .80 3.30

Fees $2,155.00 $3,950.50 $2,870.50 $156.00 $1,407.50

Blended Hourly Rate $ 353.28 $ 232.38 $ 329.94 $ 195.00 $ 426.52

Total 35.90

$10,539.50

$ 293.58

The Firm has expended time in the review and analysis of the request for fees filed by other professionals employed by the Estate and communicated with the Namvar Committee regarding same. The Firm also prepared a Notice of Reservation of Rights to Object Fee Applications of Professionals. All of the services rendered by the Firm in connection with the Employment and Fee Application Objections have been aimed toward assisting the Namvar Committee in its fiduciary duty to the Estate and its unsecured creditors. H. Meetings of Creditors A summary of the hours and fees incurred by the Firm in the category of Meetings of Creditors is as follows: Hours First Fee Application Fees previously requested Second Fee Application Fees previously requested
Fee App Fifth Interim - Namvar.doc 3985-000\EXP. 26

Fees $29,652.50 $36,262.00 23

Blended Hourly Rate $ 366.53 $ 307.31

80.90 118.00

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SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

Hours Third Fee Application Fees previously requested Fourth Fee Application Fees previously requested 36.90 17.60

Fees $16,847.00 $8,780.00 $6,682.50

Blended Hourly Rate $ 456.56 $ 498.86 $ 502.44

Fifth Fee Application 13.30 Fees not previously requested Exhibit 1, pages 17 through 18 Total 266.70

$98,224

$ 368.29

During the time period encompassed by this Fee Application, the Firm has met with the Namvar Trustee and the Namvar Committee (at times on a weekly basis) about the status of the case and the course of action to be taken with regard to various motions that have been filed in the Debtors case as well as the Namco case. As needed between meetings, the Firm participates in conference calls with members of the Namvar Committee and others to discuss issues that arose throughout the case and issues that require immediate attention. The Firm has also prepared minutes of all meetings conducted, and circulated the minutes to the Namvar Trustee and the Namvar Committee for review and comment. In summary, all of the services rendered by the Firm in connection with the Meetings of Creditors were aimed toward assisting the Namvar Committee in understanding these cases and in resolving this case as quickly as possible and in the most efficient and cost effective manner. Throughout this case, the Firm has assisted the Namvar Committee to exist as a strong force in the Debtors bankruptcy case and the administration thereof. All of the Firms valuable services were necessary in order to assist the Namvar Committee in its fiduciary duty to the unsecured creditors of the Estate. I. Plan and Disclosure Statement A summary of the hours and fees incurred by the Firm in the category of Plan and Disclosure Statement is as follows: //// //// //// 24
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SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

Hours First Fee Application Fees previously requested Second Fee Application Fees previously requested Third Fee Application Fees previously requested Fourth Fee Application Fees previously requested Fifth Fee Application Fees not previously requested Exhibit 1, pages 19 through 24 2.10 21.60 226.20 234.10 61.50

Fees $817.50 $7,563.50 $94,785.00 $105,555.00 $25,803.50

Blended Hourly Rate $ 389.29 $ 350.16 $ 419.03 $ 450.90 $ 419.57

Total 545.50

$234,524.50

$ 429.93

Throughout the administration of this case, the Firm has at all times attempted to work closely with all parties to these active related cases with the common goal of working cooperatively toward proposing a consensual plan of reorganization. Initially, the Committees and the Chapter 11 Trustees, were not able to reach an agreement and the Committees elected to jointly propose their own plan and disclosure statement. Thereafter, through the efforts of the Firm on the Committees behalf, the Chapter 11 Trustees and the five related Debtors were able to reach an agreement and a consensual Joint Plan and Joint Disclosure Statement was filed (proposed by the Chapter 11 Trustees and the Debtors and consented to by the Committees). This consensual Joint Plan was the result of many, many months of negotiations and the culmination of extensive investigation concerning the financial affairs and operations of the five related debtors and efforts to address claims by and among the five estates in real estate, litigation recoveries and other assets involving a labyrinth of approximately 400 limited liability companies and a complex web of ownership structures created by the Debtor. Unfortunately, after the Joint Plan and Disclosure Statement were filed, negotiations broke down, the Committees could no longer support the Joint Plan and Disclosure Statement, and the Joint Disclosure Statement was never approved.

25
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SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

Instead, the Chapter 11 Trustees along with the DIP Debtors proposed their own Plan and Disclosure Statement. The Court has approved the adequacy of the Disclosure Statement (docket 1574). The Court has also entered a Solicitation Procedures Order (docket number 1573) pursuant to which the Court, among other things, set various plan confirmation related dates. A hearing on approval of the Plan is scheduled for October 10-11, 2013. By the time of hearing on this Fee Application, it believed that the Plan will have been confirmed by the Court. In connection with the category of Plan and Disclosure Statement, the Firm has provided services to the Estate which have included, but have not been limited to the following: Numerous communications via telephone and written correspondence with the

Namvar Committee and the Chapter 11 Trustees regarding plan strategies and alternatives. Analysis of issues regarding the disclosure statement approval hearings and

continuance of the hearings; analysis of stipulations and pleadings to reschedule the hearings. Review and analysis of issues regarding competing reorganization plans. Review and analysis of issues and communications with the Namvar Committee

regarding plan funding issues. Review and analysis of status reports on plan confirmation proceedings. Review and analysis of Objection of U.S. Bank to the disclosure statement. Review and analysis of the Chapter 11 Trustees Amended Chapter 11 Plan and

all changes to the Amended Chapter 11 Plan. Prepare an executive summary of the Chapter 11 Trustees Amended Chapter 11

Plan; communications with the Namvar Committee regarding same; work on possible objections to the amended plan; prepare for and meet with the Namvar Committee on plan issues. Review and analysis of Joint Motion of Trustees and DIP Debtors for Order

Approving Solicitation and Voting Procedures With Respect to First Amended Joint Chapter 11 Plan for Namco Capital Group, Inc., Ezri Namvar, Beshmada, LLC, Beshmada of Delaware, LLC and Dimes, LLC Proposed by the Chapter 11 Trustees and DIP Debtors and communications with the Namvar Committee regarding same.

26
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SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

Communications with counsel for the Chapter 11 Trustees regarding potential

changes to plan voting procedures. Review and analysis of objections to the Chapter 11 Trustees Amended Plan

filed by Mousa Namvar and communications with the Namvar Committee and counsel for the Chapter 11 Trustees regarding same. Communications with counsel for the Chapter 11 Trustees regarding the Namvar

Committees position on the Amended Chapter 11 Plan as revised. Review of the Order approving the Chapter 11 Trustees Disclosure Statement. Review and analysis of (A) Notice of (I) Approval of Disclosure Statement; (II)

Hearing to Consider Confirmation of Second Amended Joint Chapter 11 Plan for Namco Capital Group, Inc., Ezri Namvar, Beshmada, LLC, Beshmada of Delaware, LLC and Dimes, LLC Proposed by the Chapter 11 Trustees and DIP Debtors; (Ill) Summary of Plan Treatment; and (IV) Deadline and Procedures for Filing Objections to Confirmation of Plan; (B) Second Amended Disclosure Statement with Respect to Second Amended Joint Chapter 11 Liquidating Plan for Namco Capital Group, Inc., Ezri Namvar, Beshmada, LLC, Beshmada of Delaware, LLC and Dimes, LLC, Proposed by the Chapter 11 Trustees and DIP Debtors; (C) Second Amended Joint Chapter 11 Liquidating Plan for Namco Capital Group, LLC, Ezri Namvar, Beshmada, LLC, Beshmada of Delaware, LLC and Dimes, LLC, Proposed by the Chapter 11 Trustees and DIP Debtors; (D) Order Approving Solicitation and Voting Procedures with Respect to Second Amended Joint Chapter 11 Plan for Namco Capital Group, Inc., Ezri Namvar, Beshmada, LLC, Beshmada of Delaware, LLC, Proposed by the Chapter 11 Trustees and DIP Debtors. Prepare letter to be sent to creditors regarding the Chapter 11 Trustees Amended

Chapter 11 Plan in connection with plan solicitation packages. issues. Respond to numerous creditor inquiries regarding plan solicitation and voting

27
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SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

Review and analysis of Notice of Filing and Service of Plan Supplement: (1) List

of Debtor-Related Interests; (2) Assumption List; (3) Rejection List; and (4) Forms of Liquidating Trust Agreements. Review and analysis of Memorandum of Points and Authorities Submitted by

Trustees and DIP Debtors in Support of Confirmation of the Second Amended Joint Chapter 11 Liquidating Plan For Namco Capital Group, Inc., Ezri Namvar, Beshmada, LLC, Beshmada Of Delaware, LLC, and Dimes, LLC, Proposed By The Chapter 11 Trustees and DIP Debtors and the Declaration of R. Todd Neilson in support. All of the Firms services in the category of Plan and Disclosure Statement have been aimed toward assisting the Namvar Committee in its fiduciary duty to general unsecured creditors to resolve this case in the most efficient manner that will provide for the beneficial treatment of all parties. The Firm has attempted at all times to keep fees to a minimum. Given the nature of the case and the significant amount of creditor inquires regarding the terms of the proposed plan, the Firm believes that the fees incurred in this project category are reasonable. J. Employment A summary of the hours and fees incurred by the Firm in the category of Employment is as follows: Hours First Fee Application Fees previously requested Second Fee Application Fees previously requested Third Fee Application Fees previously requested Fourth Fee Application Fees previously requested Fifth Fee Application Fees not previously requested 16.20 23.20 9.50 4.30 .00 Fees $4,279.00 $5,656.50 $2,875.00 $1,261.50 $.00 Blended Hourly Rate $ 264.14 $ 243.81 $ 302.63 $ 293.37 Not Applicable

Total 53.20

$14,072

$ 264.51

During this current reporting period, the Firm has not incurred any fees related to Employment Applications.
Fee App Fifth Interim - Namvar.doc 3985-000\EXP. 26

28

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SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

K.

Trade Creditor Avoidance Litigation A summary of the hours and fees incurred by the Firm in the category of Trade Creditor

Avoidance Litigation is as follows: Hours First Fee Application Fees previously requested Second Fee Application Fees previously requested Third Fee Application Fees previously requested Fourth Fee Application Fees previously requested Fifth Fee Application Fees not previously requested Exhibit 1, page 25 4.70 0.00 5.30 10.10 .10 Fees $1,205.50 $0.00 $2,297.50 $4,332.50 $32.50 Blended Hourly Rate $ 256.49 Not Applicable $ 433.49 $ 428.96 $ 325.00

Total 20.20

$7,868

$ 389.50

The Firm has incurred a small amount of fees in this project category related to the monitoring of avoidance litigation that has been filed by the Namvar Trustee and communicating with the Namvar Committee and other interested parties regarding same. L. Litigation Insider Avoidance A summary of the hours and fees incurred by the Firm in the category of Litigation Insider Avoidance is as follows: Hours First Fee Application Fees previously requested Second Fee Application Fees previously requested Third Fee Application Fees previously requested Fourth Fee Application Fees previously requested Fifth Fee Application Fees not previously requested Exhibit 1, page 26 .00 .00 .00 5.10 .40 Fees $.00 $.00 $.00 $2,477.50 $210 Blended Hourly Rate Not Applicable Not Applicable Not Applicable $ 485.78 $ 525.00

Total 5.50 29
Fee App Fifth Interim - Namvar.doc 3985-000\EXP. 26

$2,687.50

$ 488.64

1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28
SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

The Firm has incurred a small amount of fees related to the monitoring of litigation that has been filed against insiders of the Estate and communicating with the Namvar Committee and other interested parties regarding same. M. Litigation - Discharge A summary of the hours and fees incurred by the Firm in the category of Litigation Discharge is as follows: Hours First Fee Application Fees previously requested Second Fee Application Fees previously requested Third Fee Application Fees previously requested Fourth Fee Application Fees previously requested Fifth Fee Application Fees not previously requested 3.60 1.00 1.70 3.90 .00 Fees $1,305.00 $347.50 $687.50 $1,620.00 $.00 $3,960 Blended Hourly Rate $ 362.50 $ 347.50 $ 404.41 $ 415.38 Not Applicable $ 388.24

Total 10.20

The Firm has incurred a nominal amount of fees on matters related to the objection to discharge filed by the Namvar Trustee and has communicated with the Namvar Committee and other interested parties regarding same. N. Settlement of Various Disputes/Litigation A summary of the hours and fees incurred by the Firm in the category of Settlement of Various Disputes/Litigation is as follows:2 Hours First Fee Application Fees previously requested Second Fee Application Fees previously requested
2

Fees $.00 $.00

Blended Hourly Rate Not Applicable Not Applicable

.00 .00

In the Firms prior Fee Applications, services related to settlements of disputes and litigation had been included in the category of Asset Disposition but have been separately categorized herein. 30

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SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

Third Fee Application Fees previously requested Fourth Fee Application Fees previously requested Fifth Fee Application Fees not previously requested Exhibit 1, pages 27 through 29

.00 .00 22.50

$.00 $.00 $10,657.50

Not Applicable Not Applicable $ 473.67

Total 22.50

$10,657.50

$ 473.67

In connection with the category of Settlement of Various Disputes/Litigation, the Firm has provided services to the Estate which have included, but have not been limited to the following: Review and analysis of Motion of Chapter 11 Trustee for Order Approving

Settlement Agreement between the Trustee and TN Management LLC; TN Management, Inc.; Light Source Management, LLC; and Homayoun (Tony) Namvar; Memorandum of Points and Authorities; Declaration of R. Todd Neilson the Request for Judicial Notice in support thereof. Review and analysis of the Order Approving Settlement Agreement between the

Trustee and TN Management LLC; TN Management, Inc.; Light Source Management, LLC; and Homayoun (Tony) Namvar; communications with the Namvar Committee regarding same. Review and analysis of issues regarding the Motion of Chapter 11 Trustee for

Approval of Compromise Between the Namvar Trustee, Namco Trustee and Wells Fargo Bank, N.A. and communications with the Namvar Committee regarding same. Review and analysis of the Motion of Chapter 11 Trustee for Order Approving

Settlement Agreement Between the Namvar Trustee, Namco Trustee, PNC Bank, National Association, Successor by Merger to Midland Loan Services, Inc., Eloy R, LLC, as Successor In Interest to Interests Originally Held by Hartford Life Insurance Company and Assigned to Hartford Life, Inc., and Hartford Life Insurance Company; Memorandum of Points and Authorities; Declaration of R. Todd Neilson and the Request for Judicial Notice in support thereof; communications with the Namvar Committee regarding same. Analysis of issues regarding the Motion of Chapter 11 Trustee for Order

Approving Settlement Agreement Between the Namvar Trustee, Namco Trustee, Town & 31
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SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

Country Bank, and Burbank, LLC and communications with the Namvar Committee regarding same. Review and analysis of the Motion Pursuant to Federal Rule of Bankruptcy

Procedure 9019 for Approval of Compromise with Princeton Holdings, LLC; and Declaration Of R. Todd Neilson; communications with the Namvar Committee regarding same. Review and analysis of the Motion Pursuant to Federal Rule of Bankruptcy

Procedure 9019 for Approval of Compromise with Starpoint Properties, LLC; Blackhawk Properties, LLC; Mill Avenue Properties, LLC; Mill Avenue Properties, II, LLC; Mill Avenue Properties III, LLC; Mill Avenue Properties IV, LLC; 450 Roxbury Properties, LLC; 450 Roxbury Properties II, LLC; 450 Roxbury Properties III, LLC; 450 Roxbury Properties IV, LLC; 450 Roxbury Properties V, LLC; 450 Roxbury Properties VI, LLC; Colfax Properties, LLC; Foothill Ridge Properties, LLC; Jennifer Greenhut; and Virgil Avenue Properties, LLC; And Declaration Of R. Todd Neilson; communications with the Namvar Committee regarding same. Review and analysis of the Motion of Chapter 11 Trustee for Order Approving

Settlement Between the Trustee and Defendant Woodman Partners, LLC; Declaration of R. Todd Neilson; and the Request for Judicial Notice in support; communications with the Namvar Committee regarding same. Review and analysis of Motion of Chapter 11 Trustee for Order Approving

Settlement Between the Trustee and Defendant the Paul and Judith Laska Family Trust; Declaration of R. Todd Neilson and Request For Judicial Notice in support; communications with the Namvar Committee regarding same. Review and analysis of the Motion of Chapter 11 Trustee for Order Approving

Settlement Between the Trustee and Defendant Mobil 601 Plaza, LLC; Declaration of R. Todd Neilson and Request for Judicial Notice in support; Committee regarding same. Review and analysis of the Joint Motion of Bradley D. Sharp, Chapter 11 Trustee communications with the Namvar

for Namco Capital Group, Inc., R. Todd Neilson, Chapter 11 Trustee For Ezri Namvar, Beshmada, LLC, Beshmada Of Delaware, LLC And Dimes, LLC, Each a Debtor and Debtor in 32
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SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

Possession, for an Order Approving and Authorizing the Execution of and Performance Under the Settlement Agreement Between the Estates of Namco Capital Group, Inc., Ezri Namvar, Beshmada, LLC, Beshmada of Delaware, LLC, Dimes, LLC, and the Kohan Parties; Memorandum o Points and Authorities; and Declarations of Bradley D. Sharp, R. Todd Neilson and Louis A. Cicalese in support; communications with the Namvar Committee regarding same. All of the services rendered by the Firm in this project category were aimed toward assisting the Namvar Committee in understanding these settlements and compromises and to resolve disputes as quickly as possible and in the most efficient and cost effective manner. All of the Firms valuable services were necessary in order to assist the Namvar Committee in its fiduciary duty to the unsecured creditors of the Estate. IV. NARRATIVE SUMMARY OF SERVICES PERFORMED BY PROJECT

CATEGORY AS SPECIAL CLAIMS COUNSEL TO THE NAMVAR TRUSTEE A. Claims Administration/Objections A summary of the hours and fees incurred by the Firm as special claims counsel to the Namvar Trustee in the category of Claims Administration/Objections is as follows: Hours First Fee Application Fees previously requested Second Fee Application Fees not previously requested Exhibit 2, pages 2 through 49 Total 63.50 342.20 Fees $19,409.00 $96,505.50 Blended Hourly Rate $ 305.65 $ 282.01

405.70

$115,914.50

$ 285.71

The other professionals employed by the Namvar Trustee in this case include LECG, LLC as his accountants and consultants and DGD&K as his general counsel. LECG, LLC has been involved in the analysis of claims filed in the case and the DGD&K has analyzed proofs of claim filed by financial institutions. Where appropriate, the Namvar Trustee has asked DGD&K to prepare objections to the financial institution claims. While the Firm has worked closely with the Namvar Trustee and his professionals in identifying objectionable claims and bringing multiple claims objections Motions, none of the services performed by Firm in this case have duplicated the services performed by other professional in the case. 33
Fee App Fifth Interim - Namvar.doc 3985-000\EXP. 26

1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28
SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

In connection with the category of Claims Administration/Objections, the Firm has provided services to the Estate which have included, but have not been limited to the following: The Firm prepared a Motion objecting to four claims totaling approximately

$822,520 that had failed to provide evidence to support the alleged amounts owed. In addition to reviewing and analyzing the disputed claims, prior to filing the Motion, the Firm communicated with the claimants to request that they provide documentation to support the alleged amounts owed. The Firm prepared the Declaration and a Request for Judicial Notice in support of the Motion and prepared four separate Notices of Objection to Claim. The Firm also appeared at the hearing on the Motion which was granted pursuant to Court order entered on July 15, 2013 (docket number 1563). The Firm prepared a Motion objecting to eight duplicate claims totaling

approximately $11,755,046.98. The Firm reviewed and analyzed the disputed claims, prepared the Declaration in support of the Motion and prepared eight separate Notices of Objection to Claim. The Firm also appeared at the hearing on the Motion, which was granted pursuant to Court order entered on October 18, 2012 (docket number 1348). The Firm prepared a Motion objecting to twelve late filed claims totaling

approximately $22,698,641.02. In addition to reviewing and analyzing the disputed claims, the Firm prepared the Declaration and a Request for Judicial Notice in support of the Motion as well as twelve separate Notices of Objection to Claim. The Firm reviewed and analyzed the oppositions filed to this Motion and prepared the Namvar Trustees reply to the oppositions. The Firm also appeared at the hearing on the Motion which was granted in part pursuant to Court order entered on October 18, 2012 (docket number 1349) whereby claims were disallowed as late filed in the total amount of approximately $16,886,105.80. The Firm prepared a Motion objecting to two alleged priority claims. In addition

to reviewing and analyzing the disputed claims, the Firm prepared the Declaration in support of the Motion and two Notices of Objection to Claims. The Firm also appeared at the hearing on this Motion which was granted pursuant to Court order entered on May 7, 2013 (docket number

34
Fee App Fifth Interim - Namvar.doc 3985-000\EXP. 26

1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28
SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

1477), whereby alleged priority claims totaling approximately $740,000 were reclassified as non-priority general unsecured claims. The Firm prepared six Motions objecting to at least twenty-four claims filed

against the Debtor based on obligations owed by entities affiliated with the Debtor but which disputed claims provided no documentation to support a claim against the Debtor individually. The Firm prepared each of the Declarations and the Requests for Judicial Notices in support of the Motions and twenty-four Notices of Objection to Claim. The Firm appeared at the Court hearings on these Motions which were granted pursuant to Court orders entered on May 17, 2013 (docket numbers 1482, 1483); and July 29, 2013 (docket numbers 1617, 1618, 1621, 1622). The granting of these Motions has reduced claims against the Estate by approximately $13,901,599.40. The Firm has prepared a Motion objecting to seven claims totaling approximately

$70,000,000, which are duplicate of one another except for the name of the claimants and which are contingent and unliquidated claims against the Debtor for which no liability has been determined. The Firm has prepared a Declaration in support of this Motion, a Request for Judicial Notice and seven Notices of Objection to Claim. A hearing on this Motion is scheduled for hearing on October 15, 2013. The Firm is currently preparing a Motion to object to several alleged secured

claims totaling approximately $36,716,130.74 to request such alleged secured claims be reclassified as non-priority general unsecured claims. Each of the alleged secured claims has not provided evidence that the amounts alleged to be owed are secured by property of the Debtors Estate. It is anticipated that Motion will be filed in the next thirty days. In summary, the services rendered by the Firm have been aimed toward providing a meaningful recovery for the Estates unsecured creditors. The Firm has assisted the Namvar Trustee to (1) reduce claims against Estate by over $43,000,000, (2) reclassify $740,000 of alleged priority claims to non-priority general unsecured claims, (3) by the time of hearing on this Fee Application, it is anticipated that the Firm will have assisted the Namvar Trustee to reduce claims against the Estate by an additional $70,000,000, and (4) it is anticipated that a 35
Fee App Fifth Interim - Namvar.doc 3985-000\EXP. 26

1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28
SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

Motion will be filed objecting to several alleged secured claims totaling approximately $36,716,130.74 to request such disputed claims be reclassified as non-priority general unsecured claims. The fees incurred by the Firm are reasonable and the services rendered were necessary to assist the Namvar Trustee in his fiduciary duties to the Estate and its creditors. Moreover, the amount of time billed to this category of services was not excessive given the nature of the case and the beneficial results achieved. B. Employment A summary of the hours and fees incurred by the Firm as special claims counsel to the Namvar Trustee in the category of Employment is as follows: Hours First Fee Application Fees previously requested Second Fee Application Fees not previously requested Total 9.70 .00 9.70 Fees $2,120.50 $.00 $2,120.50 Blended Hourly Rate $ 218.61 Not Applicable $ 218.61

During this current reporting period, the Firm has not incurred any fees on behalf of the Namvar Trustee related to Employment Applications. V. CLIENT COMMENTS ON THE FEE APPLICATION

The Firm has provided a copy of this Fee Application to the Namvar Committee and the Namvar Trustee requesting their comments to the fees and expenses being sought. Upon receipt of the comments, the Firm will provide the United States Trustee with a copy and file the comments with the Court. VI. THE FEE APPLICATION COMPLIES WITH LOCAL BANKRUPTCY RULES The Firm has reviewed the requirements of LBR 2016-1 regarding compensation of professionals and the Fee Application complies with LBR 2016-1. //// ////

36
Fee App Fifth Interim - Namvar.doc 3985-000\EXP. 26

1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28
SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

VII.

CONCLUSION

WHEREFORE, based on the time spent on this matter, the difficulty and complexity of the issues involved, the frequent need for devoting substantial amounts of time on short notice to the exclusion of other matters, the skill required, and the fact that the Firms fees are well in line with comparable law firms, the Firm requests that this Court approve the fees and reimbursement of expenses as follows:

Capacity/Time Period Fifth Interim Fee Application As Counsel for the Namvar Committee September 15, 2012 to September 25, 2013 Second Interim Fee Application As Special Claims Counsel for the Namvar Trustee September 15, 2012 to September 25, 2013

Fees $78,287.50

Expenses $1,221.50

$96,505.50

$3,201.18

Total $174,793.00

$4,422.68

The Firm further requests that this Court order these amounts be paid from Estate and for such other and further relief as the Court may deem just and proper. Dated: September 26, 2013 SHULMAN HODGES & BASTIAN LLP /s/ Leonard M. Shulman ___________________________________________ Leonard M. Shulman Melissa Davis Lowe Attorneys for Official Committee of Unsecured Creditors for the Estate of Ezri Namvar and Special Claims Counsel to R. Todd Neilson, Chapter 11 trustee

37
Fee App Fifth Interim - Namvar.doc 3985-000\EXP. 26

DECLARATION

1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28
SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

DECLARATION OF LEONARD M. SHULMAN I, Leonard M. Shulman, declare as follows: 1. I am the managing partner of Shulman Hodges & Bastian LLP (Firm), attorneys

for the Official Committee of Unsecured Creditors for the bankruptcy estate of Ezri Namvar (Namvar Committee) and also special claims counsel to R. Todd Neilson (Trustee), the Chapter 11 trustee of the bankruptcy estate of Ezri Namvar. I am a member of the California State Bar, and am thus entitled to practice before all Courts in the State of California, including the United States Bankruptcy Court for the Central District of California. I make this declaration in support of the Fifth Interim Application for Approval of Fees and Reimbursement of Expenses by Shulman Hodges & Bastian LLP, Attorneys for the Official Committee of Unsecured Creditors and Second Interim Application for Approval of Fees and Reimbursement of Expenses of Shulman Hodges & Bastian LLP, Special Claims Counsel for R. Todd Neilson, Chapter 11 Trustee (Fee Application). All capitalized terms not otherwise defined herein shall have the meaning set forth in the Fee Application. 2. I have read the Fee Application and I am familiar with the requirements of Local The Fee

Bankruptcy Rule (LBR) 2016-1 regarding compensation of professionals.

Application complies with the requirements of the Court, the Local Bankruptcy Rules, including LBR 2016-1, and the requirements of the Office of the United States Trustee. The Fee

Application accurately sets forth the terms of the employment of the Firm and the services rendered by the Firm in this case. 3. The Firm has classified into categories all services performed which

compensation is sought for the period from September 15, 2012 through September 25, 2013. The Firm attempted to place each service performed in the category that best relates to such service. However, because certain services may relate to one or more categories, services pertaining to one category may in fact be included in another category. 4. In compliance with the requirements, attached hereto as Exhibits 1, 2 and 3 are

the Firms time and billing statements and biographical information as follows:

38
Fee App Fifth Interim - Namvar.doc 3985-000\EXP. 26

1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28
SHULMAN HODGES & BASTIAN LLP 8105 Irvine Center Drive Suite 600 Irvine, CA 92618

a. Exhibit 1: Time and expense records as attorneys for the Namvar Committee for the period of September 15, 2012 through September 25, 2013. b. Exhibit 2: Time and expense records as attorneys for the Trustee for the period of September 15, 2012 through September 25, 2103. c. Exhibit 3: A brief biography of each professional of the Firm who has expended time on this case. 5. No agreement has been made by any member of the Firm or by any employee

thereof, directly or indirectly, and no understanding exists for a division or sharing of the fees requested by the firm as set forth in the Fee Application, with any other person. The Firm has not entered into any agreement, written or oral, express or implied, with any other party or party in interest in the above-entitled case for the purpose of fixing the amount of any fees or compensation to be paid from the assets of Debtors bankruptcy estate. 6. The Firm has provided a copy of the Fee Application to the Namvar Committee

and the Namvar Trustee and has requested comments to the fees and expenses being sought. Upon receipt of the comments, the Firm will provide the United States Trustee with a copy and file the comments with the Court. I declare under penalty of perjury under the laws of the United States of America that the facts set forth in the Fee Application are true and correct. Executed at Irvine, California on September 26, 2013. /s/ Leonard M. Shulman Leonard M. Shulman

39
Fee App Fifth Interim - Namvar.doc 3985-000\EXP. 26

EXHIBIT 1 Billing Records as General Counsel to the Namvar Committee

September 26, 2013 Marc Asheghian 3430 Alana Drive Sherman Oaks, CA 91403 ID: 3985-000 - LMS Re: In re Ezri Namvar/ 11 Creditor Committee Invoice 70323

For Services Rendered Through September 25, 2013

Current Fees Current Costs

78,287.50 1,221.50

Fee Recap Lorre E. Clapp Erlanna L. Lohayza Leonard M. Shulman Ronald S. Hodges Rika M. Kido Melissa R. Davis Melissa R. Davis Paralegal Paralegal Partner Partner Associate Attorney Associate Attorney Associate Attorney Hours 20.80 33.20 90.90 0.80 1.00 15.70 37.90 Rate/Hour 195.00 195.00 525.00 525.00 300.00 325.00 375.00 Amount 4,056.00 6,474.00 47,722.50 420.00 300.00 5,102.50 14,212.50

8105 Irvine Center Drive Suite 600 Irvine, California 92618 Telephone : 949/340-3400

Exhibit 1, Page 1

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Fees Grouped by Task Date Description

September 26, 2013 Invoice 70323 Page 2

Atty MRD LMS MRD LMS MRD MRD LMS MRD LMS LMS LMS MRD MRD LMS MRD LMS LMS MRD LMS MRD MRD LMS

Hours 0.40 0.50 0.10 0.40 0.20 0.20 0.60 0.30 0.30 0.60 0.60 0.20 0.20 0.40 0.10 0.60 0.60 0.30 0.40 0.10 0.20 0.60

Amount 130.00 262.50 32.50 210.00 65.00 65.00 315.00 97.50 157.50 315.00 315.00 65.00 65.00 210.00 32.50 315.00 315.00 97.50 210.00 32.50 65.00 315.00

**Asset Disposition**

10/20/12 Review and analyze trustee's motion to hold proceeds from Parox sale; send e-mail to committee re same. 10/22/12 Initial review of pleadings re Parox sales proceeds; prepare comments. 10/22/12 Email to and from B. Efraim re possible interest bearing accounts to use by trustees. 11/06/12 Communications with Beshmada counsel re intent to file two sales motions; prepare comments. 11/06/12 Review and analyze motion in Beshmada case to approve bidding procedures for sale of Pistachio Farm. 11/08/12 Review and analyze motion to approve sale of Pistachio Farms. 11/12/12 Further review and discussions with interested parties re Pappas Ranch sale. 11/13/12 Review and analyze correspondence from D. Meadows re proposed settlement of Beshmada with Tranmar; emails with committee re same. 11/13/12 Call with Chair and prepare instructions re Pistachio Farm sale. 11/13/12 Initial review of Pappas Ranch appraisal; prepare comments for Committee. 11/15/12 Multiple communications with Committee members re proposed sale of Pistachio Farm. 11/15/12 Telephone conference with D. Meadows re proposed sale of Pistachio Farms. 11/15/12 Multiple communications with creditors' committee re possible sale of Pistachio Farms. 11/16/12 Continued discussions with clients re Pappas Ranch bid procedures. 11/18/12 Multiple communications with noteholders re Beshmada's proposed sale of Pistachio Farms. 11/18/12 Further communications with committee re Pappas Ranch sale. 11/19/12 Communications with clients and prepare instructions re proposed opposition to Pappas Ranch sale. 11/19/12 Review and analyze communications from multiple parties re proposed sale of pistachio farms. 11/20/12 Discuss overbid issues with interested parties re Pappas settlement and sale. 11/21/12 Multiple communications re Beshmada's proposed sales of properties. 11/21/12 Communications with committee members re bidding procedures to purchase Pistachio Farms. 11/21/12 Review and analyze issues re Sullivan property sale; prepare instructions.

Exhibit 1, Page 2

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date Description 11/26/12 Communications with potential overbidders on Pappas Ranch. 11/26/12 Review and analyze correspondence from D. Meadows re further information on proposed sale of Pistachio Farm. 11/26/12 Telephone conference with M. Asheghian re status of sale of Pistachio Farms and when overbids will be accepted. 11/27/12 Calls with potential overbidder on Pappas Ranch; prepare comments and instructions. 11/27/12 Provide summary of bidding procedures for Pappas Ranch for review by possible overbidder. 11/28/12 Multiple communications with Committee members re interposing obj to Pappas Ranch sale. 11/29/12 Communications with D. Meadows and committee members re upcoming proposed sale of Pappas Ranch. 11/29/12 Continued discussions with interested parties and clients re sale of Pappas Ranch. 11/29/12 Communications with committee members re possible objection to sale of Pappas Ranch. 11/30/12 Communications with Namco committee counsel re developing objection to Pappas Ranch sale. 12/04/12 Work with Namco Committee counsel on objection to Sullivan Canyon sale. 12/04/12 Multiple communications with clients and Namco committee members re various sales and settlements and proposed action; prepare instructions. 12/04/12 Review and analyze multiple communications with committee members re possible objections to sale of Pistachio Farms and sale and compromise of Sullivan Canyon. 12/05/12 Review and analyze multiple communications re opposing settlement and sale of Sullivan Canyon and request to continue committees. 12/05/12 Continued discussions with interested parties re developing objection to Sullivan Ranch sale. 12/06/12 Multiple communications re possible response by committees to sale motions in Beshmada case. 12/07/12 Communications with clients and co counsel re developing objections to proposed sale/settlement actions. 12/07/12 Review and analyze multiple communications re committee's opposition to sale motions in Beshmada case. 12/07/12 Initial review of settlement with T. Mousa and related entities; prepare instructions for handling. 12/10/12 Review draft declaration for committee members to oppose sale and settlement of Sullivan Canyon. 12/10/12 Review and revise declaration of Chair in opposition to sale of Ranch. 12/10/12 Prepare declaration of M. Asheghian in opposition to settlement and sale Atty LMS MRD MRD LMS MRD LMS MRD LMS MRD LMS LMS LMS MRD MRD LMS MRD LMS MRD LMS MRD LMS MRD

September 26, 2013 Invoice 70323 Page 3


Hours 0.40 0.10 0.10 0.80 0.50 0.70 0.20 0.60 0.20 0.60 0.50 0.70 0.20 0.10 0.40 0.10 1.40 0.30 0.40 0.10 0.70 0.20 Amount 210.00 32.50 32.50 420.00 162.50 367.50 65.00 315.00 65.00 315.00 262.50 367.50 65.00 32.50 210.00 32.50 735.00 97.50 210.00 32.50 367.50 65.00

Exhibit 1, Page 3

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date 12/11/12 12/11/12 12/12/12 12/12/12 12/18/12 12/19/12 12/21/12 12/26/12 Description of Sullivan Canyon. Review and analyze order approving bidding procedures and setting sale hearing on sale of Pappas Ranch; send e-mail to committee re same. Communications with Committee members re interposing objection to Pappas Ranch sale. Communications with M. Asheghian re opposition to sale and settlement of Sullivan Canyon. Discussions with Chair re responses to pending sales; prepare instructions. Review and analyze multiple correspondence regarding motion to approve sale of Pappas Ranch. Call with Chair re status of proposed sales; proposed interim distribution. Multiple communications re response of committees to possible opposition to motion to sell Pappas Ranch. Further extensive communications with Chair re pending sales and proposed interim distributions. Atty MRD LMS MRD LMS MRD LMS MRD LMS LMS MRD LMS LMS LMS LMS LMS MRD LMS LMS LMS MRD LMS MRD LMS LMS

September 26, 2013 Invoice 70323 Page 4


Hours 0.20 0.40 0.10 0.40 0.10 0.50 0.10 0.50 0.70 0.10 0.50 0.60 0.60 0.30 1.00 0.10 0.60 1.40 0.40 0.10 0.60 0.70 1.10 0.30 Amount 65.00 210.00 32.50 210.00 32.50 262.50 32.50 262.50 367.50 37.50 262.50 315.00 315.00 157.50 525.00 37.50 315.00 735.00 210.00 37.50 315.00 262.50 577.50 157.50

01/12/13 Numerous communications with Committee members re preparation for hearing on sales. 01/15/13 Review and analyze reply of Beshmada to motion for sale of Pappas Ranch interest. 01/16/13 Review and analyze reply briefs filed by Trustees to declarations opposing two proposed sales; prepare comments. 02/08/13 Continued discussions with interested parties re settlements with PNC and related parties. 02/11/13 Continued communication with interested parties re proposed settlements with PNC and Town & Country. 02/11/13 Communications with Chair re possible interim distributions. 02/12/13 Meet with Chair re asset disposition and management issues. 03/29/13 Review and analyze stipulation of trustees re payment to Wilshire Bundy TICs. 04/02/13 Review and analyze stipulation re release and allocation of FRPTA funds; prepare comments and instructions. 05/10/13 Meeting with potential buyers to study Realco assets available for sale. 06/05/13 Multiple communications with Trustee counsel re marketing and sale of asset issues. 06/18/13 Review and analyze report of real estate assets. 06/19/13 Briefly review pleadings filed re carving up FIRPTA; prepare comments. 06/19/13 Review and analyze briefs re resolution of issues re previous stipulation re FIRPTA funds; send correspondence to committee re same. 06/19/13 Lengthy call with interested parties re assets for sale; prepare comments for Chair. 06/20/13 Review and revise memo to clients re WB proceed distribution fight.

Exhibit 1, Page 4

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date Description 07/01/13 Worked on asset acquisition issues with interested parties; communicate with LC. 07/02/13 Briefly review additional pleadings re briefing concerning split of funds re WB; prepare comments. 07/03/13 Review and analyze brief of T. Neilson re treatment of FIRPTA funds; send e-mail to committee re same. 07/08/13 Review and analyze reply of Wilbun 7 and Wilshire Holdings re FIRPTA stipulation. 08/08/13 Initial review of Canyon Springs settlement; prepare comments. 08/13/13 Review and analyze trustee additional briefs re WB funds and their disposition; discuss with Chair. 08/14/13 E-mail to and from U. Raanan re hearing on FIRPTA funds. 08/14/13 Communications with interested parties re proposed sales of remaining assets. 08/15/13 Review and analyze correspondence from J. Hunter re order on FIRPTA funds and stipulation. Subtotal Atty LMS LMS MRD MRD LMS LMS MRD LMS MRD 32.10

September 26, 2013 Invoice 70323 Page 5


Hours 0.60 0.60 0.40 0.10 0.60 0.60 0.10 0.40 0.10 Amount 315.00 315.00 150.00 37.50 315.00 315.00 37.50 210.00 37.50 15,617.50

Exhibit 1, Page 5

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date Description Atty

September 26, 2013 Invoice 70323 Page 6


Hours 0.30 0.10 0.30 0.10 0.10 0.20 0.10 Amount 157.50 37.50 112.50 37.50 37.50 75.00 37.50 495.00

**Business Operations**
LMS MRD MRD MRD MRD MRD MRD 1.20

02/06/13 Initial review of pleadings extending contract of Cicalese; prepare comments. 02/07/13 Multiple correspondence with committee re extension of contract of L. Cicalese. 02/11/13 Telephone conference with D. Poitras re contract of L. Cicalese; send correspondence to committee re same. 06/07/13 Review and analyze issues re insurance for committee. 06/21/13 Review and analyze correspondence re renewal of insurance policy. 06/24/13 Prepare insurance renewal application and correspondence re same. 06/27/13 Email to and from Frenkel re renewal of insurance policy. Subtotal

Exhibit 1, Page 6

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date 09/19/12 09/20/12 09/27/12 10/04/12 10/11/12 10/18/12 10/22/12 Description Atty

September 26, 2013 Invoice 70323 Page 7


Hours 0.20 0.10 0.10 0.10 0.10 0.10 0.10 Amount 65.00 32.50 32.50 32.50 32.50 32.50 19.50

**Case Administration**
MRD MRD MRD MRD MRD MRD ELL

10/25/12 10/31/12 11/01/12 11/01/12 11/08/12

11/12/12 11/12/12

11/13/12 11/16/12

Review and analyze monthly operating report for August. Prepare weekly updates to unsecured creditors website. Prepare weekly updates to unsecured creditors website. Prepare weekly updates to unsecured creditors website. Prepare weekly updates to unsecured creditors website. Prepare weekly updates to unsecured creditors website. Review mail (Order Granting Motion and Disallowing Duplicate Claims) addressed to Ernesto and Socorro Vasquez c/o Ralph W. and Orlyn Ann Crawford (Chatsworth PO Box address) and returned as undeliverable; update master mailing matrix for Rule 2002 notices re same. Prepare weekly updates to unsecured creditors website. Review and analyze monthly operating report for debtor for September 2012. Communicating by and among Committee members re disbandment of Committee. Prepare weekly updates to unsecured creditors website. Review email correspondence from A. Tehan at David White & Associates re updated address information for the Crawfords and Vasquez'; review mailing matrix and prepare memorandum to M. Lowe re creditors of Namco. Prepare weekly updates to unsecured creditors website. Review email from A. Tehan at D. White's office re Notice of Change of Address filed on behalf of the Crawfords and the Vasquez' and lack of service; research case docket for the Debtor's case to determine if a request for special notice was filed; confirm that address information is correct on master mailing matrix for Rule 2002 notices; prepare memorandum to M. Lowe re suggested course of action. Communications with Chair re developing status report for creditors. Review and provide revisions to letter to United States Trustee responding to request to disband committee; discuss same with S. Koenig.

MRD MRD LMS MRD ELL

0.10 0.20 0.60 0.10 0.20

32.50 65.00 315.00 32.50 39.00

MRD ELL

0.10 0.50

32.50 97.50

LMS MRD MRD MRD MRD ELL

0.40 0.60 0.10 0.10 0.10 0.20

210.00 195.00 32.50 32.50 32.50 39.00

11/21/12 Prepare weekly updates to unsecured creditors website. 11/21/12 Review and analyze multiple communications re response letter to finalize to send to United States Trustee. 11/27/12 Review and analyze multiple communications re finalizing response letter to United States Trustee. 12/04/12 Review correspondence from C. Ketter re request to add creditor Anthony Mirzaie to creditor listing; research to determine whether he is a creditor of the Namco estate; update master mailing matrix for F.R.B.P. 2002 notices re same. 12/06/12 Prepare weekly updates to unsecured creditors website.

MRD

0.10

32.50

Exhibit 1, Page 7

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date Description 12/12/12 Review and analyze debtor's monthly operating report for November 2012; send correspondence to committee members re same. 12/13/12 Prepare weekly updates to unsecured creditors website. 12/20/12 Prepare weekly updates to unsecured creditors website. 12/27/12 Prepare weekly updates to unsecured creditors website. 01/02/13 Review and analyze trustees' correspondence re possible disbanding of committees. 01/03/13 Prepare weekly updates to unsecured creditors website. 01/09/13 Review and analyze monthly operating report for November 2012; send email to committee re same. 01/10/13 Prepare weekly updates to unsecured creditors website. 01/10/13 Briefly review recently filed MORs; prepare comments. 01/17/13 Prepare weekly updates to unsecured creditors website. 01/17/13 Analysis of issues related to whether or not the Debtor filed Schedules and Statement of Financial Affairs. 01/24/13 Prepare weekly updates to unsecured creditors website. 01/31/13 Prepare weekly updates to unsecured creditors website. 02/07/13 Prepare weekly updates to unsecured creditors website. 02/07/13 Review and analyze debtor's monthly operating report for December 2012. 02/13/13 Review Substitution of Attorney filed by M. Tavakoli, new attorney for Shaw Blackstone, LLC and update master mailing matrix for Rule 2002 notices re same. 02/14/13 Prepare weekly updates to unsecured creditors website. 02/21/13 Prepare weekly updates to unsecured creditors website. 02/22/13 Review mail (letter addressed to Mr. Tavakoli re Claim No. 100 filed by Shaw Blackstone, LLC) and returned as undeliverable; update master mailing matrix for F.R.B.P. 2002 notices. 02/28/13 Prepare weekly updates to unsecured creditors website. 03/07/13 Prepare weekly updates to unsecured creditors website. 03/08/13 Review and analyze debtor's monthly operating report for January 2013. 03/14/13 Prepare weekly updates to unsecured creditors website. 03/21/13 Prepare weekly updates to unsecured creditors website. 03/29/13 Prepare weekly updates to unsecured creditors website. 03/29/13 Email to and from B. Mahjoubi re status of case and distributions to creditors. 04/02/13 Review and analyze monthly operating report for February 2013. 04/02/13 Initial review of Feb MORs; prepare comments. 04/04/13 Prepare weekly updates to unsecured creditors website. 04/11/13 Prepare weekly updates to unsecured creditors website. Atty MRD MRD MRD MRD MRD MRD MRD MRD LMS MRD ELL MRD MRD MRD MRD ELL MRD MRD ELL MRD MRD MRD MRD MRD MRD MRD MRD LMS MRD MRD

September 26, 2013 Invoice 70323 Page 8


Hours 0.20 0.10 0.10 0.10 0.10 0.10 0.20 0.10 0.60 0.10 0.10 0.10 0.10 0.10 0.20 0.10 0.10 0.10 0.10 0.10 0.10 0.10 0.10 0.10 0.10 0.10 0.20 0.30 0.10 0.10 Amount 65.00 32.50 32.50 32.50 37.50 37.50 75.00 37.50 315.00 37.50 19.50 37.50 37.50 37.50 75.00 19.50 37.50 37.50 19.50 37.50 37.50 37.50 37.50 37.50 37.50 37.50 75.00 157.50 37.50 37.50

Exhibit 1, Page 8

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date 04/18/13 04/25/13 04/26/13 05/02/13 05/10/13 05/16/13 05/24/13 05/29/13 05/29/13 Description Prepare weekly updates to unsecured creditors website. Review and analyze monthly operating report for March 2013. Briefly review March MORs; prepare comments. Prepare weekly updates to unsecured creditors website. Prepare weekly updates to unsecured creditors website. Prepare weekly updates to unsecured creditors website. Prepare weekly updates to unsecured creditors website. Review and analyze monthly operating report for April 2013. Briefly review April monthly operating reports; prepare comments. Atty MRD MRD LMS MRD MRD MRD MRD MRD LMS MRD ELL MRD MRD MRD LMS ELL MRD LMS MRD MRD MRD MRD MRD LMS MRD LMS MRD MRD LMS LMS MRD ELL

September 26, 2013 Invoice 70323 Page 9


Hours 0.10 0.10 0.30 0.10 0.10 0.10 0.10 0.10 0.40 0.20 0.10 0.10 0.10 0.10 0.40 0.20 0.10 0.40 0.10 0.20 0.20 0.10 0.10 0.30 0.20 0.30 0.20 0.20 0.60 0.60 0.10 0.20 Amount 37.50 37.50 157.50 37.50 37.50 37.50 37.50 37.50 210.00 75.00 19.50 37.50 37.50 37.50 210.00 39.00 37.50 210.00 37.50 75.00 75.00 37.50 37.50 157.50 75.00 157.50 75.00 75.00 315.00 315.00 37.50 39.00

05/30/13 Prepare weekly updates to unsecured creditors website. 06/03/13 Review Wells Fargo Bank, N.A.'s Amended Request for Special Notice and update the master mailing matrix for Rule 2002 notices re same. 06/06/13 Prepare weekly updates to unsecured creditors website. 06/13/13 Prepare weekly updates to unsecured creditors website. 06/14/13 Review and analyze debtor's monthly operating report. 06/14/13 Briefly review May's monthly operating report. 06/18/13 Review mail (Notices of Withdrawal of Claims) addressed to E. Namvar and returned as undeliverable; update master mailing matrix for F.R.B.P. 2002 notices re same and prepare Notices for forwarding to new address. 06/20/13 Prepare weekly updates to unsecured creditors website. 06/21/13 Communications with Committee members re status of litigation and fees expended. 06/27/13 Prepare weekly updates to unsecured creditors website. 07/03/13 Prepare weekly updates to unsecured creditors website. 07/11/13 Prepare weekly updates to unsecured creditors website. 07/18/13 Prepare weekly updates to unsecured creditors website. 07/25/13 Prepare weekly updates to unsecured creditors website. 07/30/13 Communications with Committee members re update on status. 07/31/13 Review and analyze debtor's monthly operating report and send to committee for review. 07/31/13 Briefly review June monthly operating report; discuss with clients. 08/01/13 Prepare weekly updates to unsecured creditors website. 08/08/13 Prepare weekly updates to unsecured creditors website. 08/12/13 Communications with clients re professional fee reviews. 08/13/13 Continued communications with interested parties re fee review matters. 08/15/13 Prepare weekly updates to unsecured creditors website. 08/15/13 Review mail (Plan Summary) addressed to B. Kianmahd and M. Namvar and returned as undeliverable; update master mailing matrix for F.R.B.P. 2002 notices re same; prepare mail for forwarding to M. Namvar at new

Exhibit 1, Page 9

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date 08/16/13 Description address. Review mail (Plan Summary) addressed to D. Pourbaba and S. Khadavi and returned as undeliverable; brief review of case information to verify if any new address; update master mailing matrix for F.R.B.P. 2002 notices re same. Review and analysis of issues related to service of plan packages on creditors, specifically Paul and Judith Laska; review mailing matrix and Proof of Service of Plan packages; advise L. Verstegen re same. Review mail (Plan Summary) addressed to M. Jalil, JHB Inc. and JHB Inc. International, SC Development, LLC, BankFirst and PES Family Trust and returned as undeliverable; brief review of case information to verify if any new address; update master mailing matrix for F.R.B.P. 2002 notices re same. Review mail (Plan Summary) addressed to D. Selki and returned as undeliverable; brief review of case information to verify if any new address; review State Bar website re new address; update master mailing matrix for F.R.B.P. 2002 notices re same. Review mail (Plan Summary) addressed to Daimler Trust Successor to DCFS Trust and returned as undeliverable; brief review of case information to verify if any new address; update master mailing matrix for F.R.B.P. 2002 notices re same. Review mail (Plan Summary) addressed to Sunnylane Partners LLC c/o Louis Esbin, Esq. and returned as undeliverable; brief review of case information to verify if any new address; review State Bar website re new address; update master mailing matrix for F.R.B.P. 2002 notices re same and prepare for forwarding to new address. Prepare weekly updates to unsecured creditors website. Briefly review additional pleadings re Canyon Spring settlement; prepare instructions. Review and analyze debtor's July monthly operating report. Review Notice of Change of Address for Saeed Anavim, Sharona Anavim and Said Anavim; update master mailing matrix for Rule 2002 notices re same. Briefly review July month operating reports; prepare comments. Review mail (Plan solicitation letter) addressed to D. Zarabi, Cushman & Wakefield of Washington, D.C., Eloy R. LLC, P. and J. Laska and Shaw Blackstone LLC and returned as undeliverable; research new address for Shaw Blackstone LLC and prepare for forwarding; update master mailing matrix for F.R.B.P. 2002 notices re same. Prepare weekly updates to unsecured creditors website. Review Notice of Change of Address for Paul and Judith Laska; updated master mailing matrix for Rule 2002 notices re same. Review mail (Plan solicitation letter) addressed to Bunherst LLC (c/o B. Atty ELL

September 26, 2013 Invoice 70323 Page 10


Hours 0.20 Amount 39.00

08/16/13 08/19/13

ELL ELL

0.30 0.40

58.50 78.00

08/19/13

ELL

0.20

39.00

08/20/13

ELL

0.10

19.50

08/20/13

ELL

0.20

39.00

08/22/13 08/22/13 08/27/13 08/27/13 08/28/13 08/28/13

MRD LMS MRD ELL LMS ELL

0.10 0.40 0.10 0.10 0.30 0.40

37.50 210.00 37.50 19.50 157.50 78.00

08/29/13 09/06/13 09/09/13

MRD ELL ELL

0.10 0.10 0.10

37.50 19.50 19.50

Exhibit 1, Page 10

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date Description Davidoff) and returned as undeliverable; research new address for B. Davidoff and update master mailing matrix for F.R.B.P. 2002 notices re same. Prepare weekly updates to unsecured creditors website. Review mail (Plan solicitation letter) addressed to Boyle Avenue LLC and returned as undeliverable; update master mailing matrix for F.R.B.P. 2002 notices re same. Prepare weekly updates to unsecured creditors website. Review and analyze debtor's monthly operating report. Subtotal Atty

September 26, 2013 Invoice 70323 Page 11


Hours Amount

09/12/13 09/12/13 09/19/13 09/25/13

MRD ELL MRD MRD 18.30

0.10 0.10 0.10 0.10

37.50 19.50 37.50 37.50 6,892.50

Exhibit 1, Page 11

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date Description Atty

September 26, 2013 Invoice 70323 Page 12


Hours 0.30 0.10 1.00 Amount 58.50 32.50 195.00

** Fee Application**
ELL MRD ELL

09/17/12 Commence review of reconciliation from T. Neilson re disbursements to professionals and brief review of accounting records for Shulman Hodges & Bastian regarding same. 09/18/12 Review and analyze emails re status of fee payments to professionals in case. 09/18/12 Further review and analysis of spreadsheet provided by T. Neilson related to fees of professionals and schedule related to allocation and payment of same; review the Firm's accounting records to confirm all numbers match; prepare memorandum to L. Shulman and M. Lowe re observations and timing of next payment. 09/18/12 Prepare email correspondence to U. Raanan re fees and expenses to be requested by the Firm for the period September 1, 2011 through September 14, 2012. 09/21/12 Review draft of global Notice of Hearing on Fee Applications to confirm numbers are correct; prepare memorandum to M. Lowe re same. 09/21/12 Emails with T. Neilson re fee applications to file. 09/21/12 Prepare instructions to E. Lohayza re interim fee application for Shulman Hodges & Bastian LLP. 09/21/12 Continue review of voluminous time records and continue to work on categorizing for tasks performed in the case to identify project categories for Fee Application; work on the billing record exhibits for the Fourth Interim Fee Application for Shulman Hodges & Bastian LLP in conformance with the U.S. Trustee requirements. 09/21/12 Review of files and case docket and commence draft of the Fourth Interim Fee Application of Shulman Hodges & Bastian LLP; work on identifying the project categories and summary of services previously rendered for each category. 09/24/12 Brief review of Fee Applications filed by other professionals for information related to administrative expenses and cash on hand to incorporate into Fourth Interim Fee Application. 09/24/12 Work on the billing record exhibits for the First Interim Fee Application for Shulman Hodges & Bastian LLP as Special Claims Counsel to the Trustee in conformance with the U.S. Trustee requirements; instructions to K. Fletcher re same. 09/24/12 Continue review of case files and continue work on the Fourth Interim Fee Application of Shulman Hodges & Bastian LLP and First Interim Fee Application as Special Claims Counsel to the Chapter 11 Trustee; work on narrative of events, issues addressed and results achieved; work on summarizing services for the project categories of Estate Analysis, Asset Disposition, Case Administration, Meeting of Creditors, Claims Administration/Objections, Errors and Omissions Policy, Employment Applications, Fee Applications, Fee and Employment Objections, Trade

ELL ELL MRD MRD ELL

0.10 0.10 0.10 0.20 2.80

19.50 19.50 32.50 65.00 546.00

ELL

1.50

292.50

ELL ELL

0.40 0.50

78.00 97.50

ELL

6.50

1,267.50

Exhibit 1, Page 12

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date Description Creditor Avoidance Litigation, Insider Litigation and Discharge Litigation; draft Declaration of L. Shulman in support. Review and revise fourth interim fee application of Shulman Hodges & Bastian LLP. Further work on the Fourth Interim Fee Application of Shulman Hodges & Bastian LLP as Committee Counsel and First Interim Fee Application as Special Claims Counsel to the Chapter 11 Trustee; work on summarizing services for the project category of Plan and Disclosure Statement. Prepare final of the billing record exhibits for the Fourth Interim Fee Application of Shulman Hodges & Bastian LLP as Committee Counsel and First Interim Fee Application as Special Claims Counsel to the Chapter 11 Trustee. Review and revise Fourth Interim Application for Approval of Fees and Reimbursement of Expenses by Shulman Hodges & Bastian LLP as Committee Counsel and First Interim Application for Approval of Fees and Reimbursement of Expenses of Shulman Hodges & Bastian LLP as Special Claims Counsel for R. Todd Neilson; calculate blended hourly rate for each category of service and include in Fee Application; prepare Fee Application for final. Prepare correspondence to M. Asheghian re his review and comments to the Fourth Interim Fee Application of Shulman Hodges & Bastian LLP; compile final. Prepare correspondence to R. Todd Neilson re his review and comments to the First Interim Fee Application of Shulman Hodges & Bastian LLP; compile final. Prepare for service the Fourth Interim Application for Approval of Fees and Reimbursement of Expenses by Shulman Hodges & Bastian LLP, Attorneys for the Official Committee of Unsecured Creditors; and First Interim Application for Approval of Fees and Reimbursement of Expenses of Shulman Hodges & Bastian LLP, Special Claims Counsel for R. Todd Neilson, Chapter 11 Trustee; prepare for electronic filing with the Court; prepare Judge's copy pursuant to Local Rules. Review and approve for final the Fourth Interim Fee Application. Telephone conference from assistance at T. Nielson's office re his comments to the First Interim Fee Application of Shulman Hodges & Bastian LLP as Special Claims Counsel. Receipt of Trustee comments to the First Interim Application for Approval of Fees and Reimbursement of Expenses of Shulman Hodges & Bastian LLP, Special Claims Counsel; prepare the Local Rule 9013-3.1 Certificate; prepare for service and electronic filing with the Court; prepare Judge's copy for submission to Chambers as required by Local Rules. Analysis of issues re Committee's intent to oppose Fee Applications of Atty

September 26, 2013 Invoice 70323 Page 13


Hours Amount

09/25/12 09/25/12

MRD ELL

0.90 1.00

292.50 195.00

09/25/12

ELL

0.70

136.50

09/25/12

ELL

1.60

312.00

09/25/12 09/25/12 09/25/12

ELL ELL ELL

0.30 0.30 0.60

58.50 58.50 117.00

09/25/12 09/26/12 09/27/12

LMS ELL ELL

0.30 0.10 0.40

157.50 19.50 78.00

10/01/12

ELL

0.10

19.50

Exhibit 1, Page 13

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date 10/01/12 10/10/12 10/15/12 10/16/12 10/17/12 10/17/12 Description professionals; prepare memorandum to M. Lowe re same. Review and analyze correspondence re fee applications. Investigate status of comments from the Committee to the Fourth Interim Fee Application of Shulman Hodges & Bastian LLP. Review and analyze issues and prepare instructions for fee hearing. Prepare for and attend hearing on motions for approval of professional fees. Review and analyze results of fee hearings; prepare comments for order. Review draft of Global Fee Order to confirm dates and amounts are correct; prepare memorandum to M. Lowe re separating amounts awarded to the Firm as counsel to the Committee and special claims counsel to the Chapter 11 Trustee. Review ECF email and obtain the Order on Interim Applications of Chapter 11 Trustees and Professionals for Approval and Payment of Interim Compensation and Reimbursement of Expenses; update electronic case file re same. Review spreadsheet reflecting professional fees incurred to date; prepare memorandum to M. Lowe re same. Review and edit and categorize time entries per the Fee Guides of the U.S. Trustee. Review and analyze notice re interim fee applications. Review of the Court docket for the Notice to Professionals of Intended Hearing Date on Fee Applications, review of the Notice and calculate deadlines, prepare memo to Calendar regarding same. Initial review of files and time records to determine project categories for the Shulman Hodges & Bastian LLP Fee Application and for addressing services for the Trustee as the Committee. Review and analysis of issues re time records and categories for Fee Application. Begin review of time records and categorize services per the requirements of the Court and the U.S. Trustee, work on the billing record exhibits for the Shulman Hodges & Bastian LLP Fee Application in compliance with the extensive requirements. Review of time records and categorize services per the requirements of the Court and the U.S. Trustee, work on the billing record exhibits for the Shulman Hodges & Bastian LLP Fee Application in compliance with the extensive requirements. Review of files and facts and background and draft the Interim Fee Application by Shulman Hodges & Bastian LLP, work on the narrative of events, issues addressed and results achieved, draft the Declaration in support; work on the narrative of tasks related to the case project categories. Work on the accounting of prior fee applications, requests, awards and Atty MRD ELL LMS MRD LMS ELL

September 26, 2013 Invoice 70323 Page 14


Hours 0.10 0.10 0.40 4.10 0.30 0.20 Amount 32.50 19.50 210.00 1,332.50 157.50 39.00

10/30/12

ELL

0.10

19.50

11/13/12 12/04/12 09/03/13 09/04/13 09/04/13 09/04/13 09/10/13

ELL ELL MRD LEC LEC ELL LEC

0.10 0.20 0.10 0.20 0.40 0.40 0.50

19.50 39.00 37.50 39.00 78.00 78.00 97.50

09/11/13

LEC

3.00

585.00

09/11/13

LEC

5.40

1,053.00

09/11/13

LEC

0.70

136.50

Exhibit 1, Page 14

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date Description payments and update the Shulman Hodges & Bastian LLP Fee Application regarding same. Continued review of files and facts and background and continue drafting the Fee Application by Shulman Hodges & Bastian LLP, work on the narrative of events, issues addressed and results achieved, work on the narrative of tasks related to the case project categories. Review of additional billing records and categorize services per the requirements of the Court and the U.S. Trustee, work on the billing record exhibits for the Shulman Hodges & Bastian LLP Fee Application in compliance with the extensive requirements; work on the expense records exhibits. Continue review of files for facts and background and drafting the Shulman Hodges & Bastian LLP Fee Application, update the narrative of events, issues addressed and results achieved, update the narrative of tasks related to the case project categories. Work on the billing record exhibits for the Shulman Hodges & Bastian LLP Fee Application. Review and revise fifth interim fee application as counsel to committee and second interim fee application as special claims counsel to trustee. Update the billing record exhibits for the Shulman Hodges & Bastian LLP Fee Application. Subtotal Atty

September 26, 2013 Invoice 70323 Page 15


Hours Amount

09/13/13

LEC

6.50

1,267.50

09/13/13

LEC

0.40

78.00

09/16/13

LEC

2.90

565.50

09/16/13 09/16/13 09/17/13

LEC MRD LEC 47.60

0.40 0.80 0.40

78.00 300.00 78.00 10,489.00

Exhibit 1, Page 15

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date Description Atty

September 26, 2013 Invoice 70323 Page 16


Hours 0.40 0.40 0.60 0.40 0.10 0.10 0.40 0.10 0.30 0.50 Amount 78.00 130.00 315.00 210.00 19.50 32.50 210.00 37.50 112.50 262.50 1,407.50

**Fee and Employment Objections**


ELL MRD LMS LMS ELL MRD LMS MRD MRD LMS 3.30

09/24/12 Review ECF email and obtain Fee Applications that have been filed by other professionals; update electronic case file re same. 10/01/12 Prepare notice of objection and reservation of rights to object to fee applications of professionals; prepare instructions to L. Verstegen re filing. 10/01/12 Call with Chair and communicate with other Committee members re objections to fee applications. 10/01/12 Review and revise reservation of rights to object to fee applications. 10/02/12 Review ECF email and obtain the Omnibus Objection to Fee Applications filed by the Namco Committee; update electronic case file re same. 10/09/12 Review and analyze reply by trustees to objection to fee applications. 05/17/13 Discuss options with chair re fee challenges. 05/17/13 Review and analyze multiple correspondence re payments to professionals in light of possible lack of distribution to creditors. 08/12/13 Review and analyze new guidelines re fee applications re possible fee examiner. 08/21/13 Communications with Chair re retention of fee examiner. Subtotal

Exhibit 1, Page 16

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date Description Atty

September 26, 2013 Invoice 70323 Page 17


Hours 0.40 0.20 0.20 0.50 0.60 0.30 0.40 0.10 0.60 0.60 0.30 0.70 0.40 0.10 0.30 1.30 0.40 0.60 0.70 0.10 0.10 0.20 Amount 210.00 65.00 65.00 262.50 315.00 157.50 210.00 32.50 315.00 315.00 97.50 367.50 210.00 32.50 157.50 682.50 210.00 315.00 367.50 37.50 37.50 75.00

**Meeting of Creditors**
LMS MRD MRD LMS LMS LMS LMS MRD LMS LMS MRD LMS LMS MRD LMS LMS LMS LMS LMS MRD MRD MRD

10/30/12 Review and analyze detailed letter from trustees requested Committees to be disbanded. 10/30/12 Review and analyze correspondence from trustees re disbanding of committees. 10/31/12 Telephone conference with S. Koenig re response to letter to disband committees. 10/31/12 Call with Namco committee counsel and advise Committee re proposed abandonment. 11/04/12 Multiple communications with Committee members re potential disbandment. 11/05/12 Call with Chair re disbandment of Committee issues. 11/06/12 Continued discussions with interested parties re Committee disbandment. 11/06/12 Review and analyze correspondence from committee members re possible disbanding of committee. 11/15/12 Continued discussions by and among Committee members re crafting response to Trustees' request to disband Committees. 11/16/12 Review and revise draft letter to UST in response to Trustees' request to disband committees. 11/19/12 Review and analyze multiple communications re response to letter from OUST re disbanding of committees. 11/21/12 Continued discussions with interested parties and Committee members re issues with disbandment and related matters. 11/21/12 Final review and approval of letter to the United States Trustee re Committees. 11/26/12 Review revised letter responding to letter from United States Trustee to disband committees. 11/26/12 Review and approve proposed draft letter with further revisions to UST re Committee disbandment. 11/27/12 Continued work on refining submittal to UST re Committee disbandment; numerous communications with clients. 12/05/12 Communications with Chair re Committee disbanding issues. 01/02/13 Communications with co counsel and the US Trustee re Committee disbandment; review reply letter Trustee. 01/10/13 Multiple communications with Committee members re developing response to Trustee to reply re Committee disbandment. 01/10/13 Review and analyze multiple correspondence from committee members re responding to UST's correspondence of whether to disband committee. 01/11/13 Review and analyze multiple correspondence from committee members re UST. 01/11/13 Review and revise response letter to OUST re possible dissolution of

Exhibit 1, Page 17

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date 01/14/13 01/15/13 01/15/13 01/22/13 01/23/13 05/16/13 05/29/13 06/10/13 06/19/13 06/21/13 06/24/13 Description committee. Continued discussions with Committee members re formulation issues. Review and approve for final responsive letter re Committee disbandment. Multiple emails re response to OUST to most recent letter of trustees. Review and analyze response from United States Trustee re disbandment of committee; discuss with committee. Review letter from UST and discuss with clients continuing role of Committees. Continued work on status memo to clients. Communications with Namvar committee members re requested status information from Trustees; prepare instructions. Communications with interested parties re insurance for Committees. Review and analyze property valuations and proposed action prepared by LC; prepare comments for Chair. Prepare email to committee members re fees incurred in litigation by trustees and status of objections to claims. Continued communications with Committee re claims administration and litigation issues and status. Subtotal Atty LMS LMS MRD MRD LMS LMS LMS LMS LMS MRD LMS 13.30

September 26, 2013 Invoice 70323 Page 18


Hours 0.60 0.30 0.10 0.10 0.60 0.40 0.40 0.30 0.80 0.20 0.40 Amount 315.00 157.50 37.50 37.50 315.00 210.00 210.00 157.50 420.00 75.00 210.00 6,682.50

Exhibit 1, Page 18

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date Description Atty

September 26, 2013 Invoice 70323 Page 19


Hours 0.30 0.40 0.60 0.10 0.20 0.20 0.40 0.10 0.50 0.10 0.20 0.30 0.40 0.10 0.60 0.10 0.30 1.10 0.10 0.60 0.40 1.20 0.70 0.60 Amount 157.50 210.00 315.00 32.50 105.00 65.00 210.00 32.50 262.50 32.50 105.00 157.50 210.00 37.50 315.00 37.50 157.50 577.50 37.50 315.00 150.00 450.00 262.50 225.00

**Plan and Disclosure Statement**


LMS LMS LMS MRD LMS MRD LMS MRD LMS MRD LMS LMS LMS MRD LMS MRD LMS LMS MRD LMS MRD MRD MRD MRD

09/17/12 Review and analyze communications by and between Committee and Trustees re plan support. 09/19/12 Review and analyze results of Committee meeting with Trustees; prepare comments for Chair. 09/21/12 Telephone conference with Chair and follow up with Namco Committee counsel re results of mtg with trustees. 09/26/12 Review and execute stipulation to continue hearing on disclosure statement. 09/26/12 Review and approve stipulation to continue hearing on disclosure statement. 10/01/12 Review and analyze correspondence from committee members re decision to not support plan. 10/02/12 Continued communications with interested parties re Committee non support for plan. 10/04/12 Telephone conference with S. Koenig re status of disclosure statement and claims objections. 11/13/12 Multiple communications with interested parties re resurrecting joint plan deal. 11/13/12 Emails with counsel re possible settlement to approve plan. 12/06/12 Review and analyze various pleadings rescheduling disclosure statement approval hearings. 02/08/13 Communications with clients re need for continued management. 02/11/13 Communications with interested parties re fund management issues. 03/15/13 Review and analyze multiple correspondence re status of plan of trustees. 03/18/13 Communications with multiple parties re status of revised plan documents. 04/10/13 Review and analyze status report of US Bank on objection to disclosure statement. 04/11/13 Initial review of disclosure statement status report; prepare instructions. 04/25/13 Initial review of revised plan; prepare instructions. 04/25/13 Review and analyze multiple correspondence re revised disclosure statement. 04/26/13 Communications with trustees' counsel re plan reformulation and issues with interim distributions; discuss with Chair. 04/29/13 Review and analyze trustee's amended Chapter 11 plan. 04/30/13 Continue review of revised Chapter 11 plan to be proposed by trustees. 04/30/13 Prepare memorandum re review and analysis of amended Chapter 11 plan. 05/01/13 Review and revise memorandum discussing proposed amended Chapter 11 plan of trustees.

Exhibit 1, Page 19

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date Description 05/01/13 Review and analyze executive summary of revised plan; prepare comments and instructions. 05/02/13 Discuss with S. Koenig possible objections to disclosure statement. 05/06/13 Final revisions to memo re revised plan summary. 05/07/13 Discuss revised plan provisions with Namco Committee counsel and Chair. 05/07/13 Review and analyze correspondence from S. Koenig re terms of amended plan proposed by trustee. 05/10/13 Follow up meeting with Chair re status of case and plan prospects. 05/13/13 Review and analyze results of meeting with trustees and their counsel; prepare instructions. 05/15/13 Prepare for and attend call with Namco committee counsel re plan revision issues. 05/15/13 Work with Trustee counsel on status report re plan and litigation to be sent to Committee. 05/21/13 Initial review of revised and modified disclosure statement; prepare instructions. 05/23/13 Review and analyze trustees' first amended disclosure statement. 05/28/13 Initial review of modified plan document; prepare instructions for needed review and dissemination. 05/28/13 Review and analyze debtor's revised proposed disclosure statement and related documents; send correspondence to committee re same. 05/28/13 Review and analyze motion to approve first amended disclosure statement. 06/05/13 Email to and from D. Poitras re questions on status of estates. 06/12/13 Review and analyze motion to set voting procedures on plan. 06/12/13 Prepare email to M. Pagay re comments and requests to changes of voting and solicitation procedures. 06/12/13 Briefly review Trustee pleadings re plan solicitation and voting; prepare comments and instructions. 06/12/13 Telephone conference with D. Poitras re proposed changes to voting procedures. 06/17/13 Telephone conference with D. Meadows re issues on proposed voting and balloting procedure; discuss same with S. Koenig. 06/18/13 Review and analyze issues re voting procedures; prepare comments and instructions. 06/20/13 Review and analyze multiple correspondence from committee members re requests for information from trustees. 06/24/13 Review and analyze objection to amended disclosure statement filed by M. Namvar. 06/25/13 Prepare email to committee re objection to disclosure statement filed by Atty LMS MRD LMS LMS MRD LMS LMS LMS LMS LMS MRD LMS MRD MRD MRD MRD MRD LMS MRD MRD LMS MRD MRD MRD

September 26, 2013 Invoice 70323 Page 20


Hours 0.60 0.10 0.40 0.60 0.10 4.20 0.60 0.60 0.40 0.80 0.20 0.80 0.30 0.30 0.10 0.80 0.20 0.60 0.10 0.30 0.40 0.20 0.30 0.20 Amount 315.00 37.50 210.00 315.00 37.50 2,205.00 315.00 315.00 210.00 420.00 75.00 420.00 112.50 112.50 37.50 300.00 75.00 315.00 37.50 112.50 210.00 75.00 112.50 75.00

Exhibit 1, Page 20

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date 06/25/13 06/26/13 06/27/13 06/28/13 06/29/13 07/02/13 07/02/13 07/03/13 Description M. Namvar. Initial review of Mousa's objection to disclosure statement; prepare comments. Review and analyze filing with minor amendments to disclosure statement; send email to committee re same. Review and analyze proposed revisions to disclosure statement by Trustees; prepare comments. Review and analyze reply to objection of M. Namvar to disclosure statement. Initial review of Trustee response to Mousa objection to disclosure statement. Prepare for and attend hearing on approval of trustees' proposed disclosure statement. Telephone conference with D. Poitras re committee's position on approval of disclosure statement. Prepare email to committee re approval of disclosure statement and plan confirmation deadlines. Atty LMS MRD LMS MRD LMS MRD MRD MRD LMS LMS MRD MRD MRD MRD LMS MRD LMS LMS MRD MRD MRD LMS ELL

September 26, 2013 Invoice 70323 Page 21


Hours 0.40 0.30 0.60 0.20 0.40 3.30 0.10 0.20 0.40 0.50 0.20 0.10 0.20 0.80 0.60 0.20 0.30 0.60 0.10 0.10 0.30 0.80 2.60 Amount 210.00 112.50 315.00 75.00 210.00 1,237.50 37.50 75.00 210.00 262.50 75.00 37.50 75.00 300.00 315.00 75.00 157.50 315.00 37.50 37.50 112.50 420.00 507.00

07/03/13 Review and analyze results of hearing on disclosure statement; prepare comments and instructions. 07/12/13 Briefly review amended plan and disclosure statement documents; prepare comments. 07/12/13 Review and analyze redlined amended disclosure statement. 07/22/13 Review and analyze order approving disclosure statement. 08/01/13 Prepare email to committees re communication with creditors re proposed plan; review responses re same. 08/01/13 Draft letter to creditors re plan proposed by trustees. 08/01/13 Review and analyze issues and prepare instructions re possible plan summary to constituents in light of solicitation packages. 08/01/13 Telephone conference with J. Griffith re terms of plan and estimate for timing of payments; discuss same with U. Raanan. 08/02/13 Review and revise plan summary letter to send to constituents. 08/04/13 Communications with client re plan solicitation issues. 08/05/13 Email to and from Committee members re letter to creditors re plan. 08/05/13 Telephone conference with E. Dennis re voting on proposed plan. 08/06/13 Finalize letter to creditors re explanation of plan and voting process; prepare instructions to L. Verstegen re service on creditors. 08/06/13 Field questions from interested parties re plan solicitation and voting issues. 08/06/13 Analysis of issues related to plan solicitation; review case information and work on updating the master mailing matrix to be used for generating database for solicitation letters; research case files for email addresses

Exhibit 1, Page 21

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date 08/06/13 08/06/13 08/07/13 Description for creditors to receive solicitation letter. Email to and from J. Farhadian re voting for plan and requirements for confirmation. Email to and from D. Paris re distributions to be made on claims filed in both Namvar and Namco cases. Access Pacer and obtain various documents related to plan packages including Proofs of Service filed on August 1, 2013; review Proofs of Service and compare with the service list downloaded from Pacer and with service list maintained by Shulman Hodges & Bastian LLP and work on updating database for solicitation letters; continue research of files for email addresses; identify parties to be served with solicitation letter via mail and via email. Telephone conference with A. Javahery re procedure for voting on plan. Email to and from B. Isaac re procedure for voting on plan. E-mail to and from K. Doron re plan and disclosure statement. Finalize database for service list for Plan solicitation letters and work on preparing same for mailing. Review rejected emails related to Plan solicitation letter and research new and/or updated contact information for recipients; update master mailing matrix re same. Review and analyze correspondence re claim of F. Mahjoubi and whether entitled to vote. Telephone conference with Masoud re voting for plan; send e-mail re same. Telephone conference with Akravan re voting on plan. Review and analyze correspondence from committee members re creditors' confusion with plan and possible meeting with trustees. Multiple communications with clients re issues with plan voting. Review and analyze notice of filing of plan supplements; send e-mail to committee re same. Prepare for and call with committee members to discuss voting on plan and confusion of creditors in doing so; send e-mail to committee members re same. Initial review of plan supplements filed by Trustees; prepare comments and instructions. Prepare for and attend call with Committee members re plan support. Draft communication to creditors from committee re plan. Review and revise proposed letter to creditor constituents. Telephone conference with D. Hagani re voting on plan. Review and analyze status of claims filed by E. Vasquez and whether entitled to vote on plan. Atty MRD MRD ELL

September 26, 2013 Invoice 70323 Page 22


Hours 0.10 0.10 5.20 Amount 37.50 37.50 1,014.00

08/07/13 08/07/13 08/07/13 08/08/13 08/08/13 08/09/13 08/09/13 08/09/13 08/12/13 08/12/13 08/13/13 08/13/13 08/13/13 08/13/13 08/13/13 08/13/13 08/13/13 08/13/13

MRD MRD MRD ELL ELL MRD MRD MRD MRD LMS MRD MRD LMS LMS MRD LMS MRD MRD

0.10 0.10 0.10 0.50 1.00 0.10 0.20 0.10 0.20 0.70 0.40 0.50 0.60 0.50 0.20 0.20 0.10 0.30

37.50 37.50 37.50 97.50 195.00 37.50 75.00 37.50 75.00 367.50 150.00 187.50 315.00 262.50 75.00 105.00 37.50 112.50

Exhibit 1, Page 22

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date Description 08/13/13 Telephone call from M. Radfar re order approving objection to claim, claim filed in Namco and ballot received. 08/13/13 Telephone conference with M. Naim re voting on plan. 08/14/13 Review and revise letter to creditors from committees re plan; communication with committees re same; provide instructions to L. Verstegen re sending to creditors. 08/14/13 Email to and from M. Eshmoili re voting on plan. 08/14/13 Telephone conference with F. Pakravan re voting on plan. 08/14/13 Further communications with clients re needed letter re plan position. 08/14/13 Work with committee on plan reasons re letter. 08/14/13 Telephone conference with H. Amini re correct ballot for voting on plan; send e-mail to U. Raanan re same. 08/15/13 Email to and from U. Raanan re ballot for H. Yamini. 08/15/13 Emails with multiple creditors re voting on plan. 08/15/13 Review and analyze multiple correspondence from creditors re voting on plan and possible fee examiner; respond re same. 08/15/13 Numerous communications with creditors re plan issues. 08/19/13 Telephone conference with J. Griffith re voting on Namvar plan. 08/19/13 Telephone conference with M. Basarian re questions on voting on plan. 08/19/13 Telephone conference with B. Brookhim re questions on voting on plan; emails re same. 08/19/13 Prepare email to G. Haroonian re explanation of plan supplement. 08/19/13 Review and analyze issues re creditor meeting to discuss terms of plan; send e-mail to creditors re same. 08/19/13 Email to and from N. Cowen re voting on plan. 08/20/13 Multiple correspondence re creditors meeting to discuss plan. 08/20/13 Review and reply to communication from N. Cowen re execution of ballots for her children's claims in her capacity as trustee for those claims. 08/21/13 Numerous communications with clients, creditors and interested parties re voting and plan confirmation issues. 08/21/13 Further correspondence with committee re possible meeting to discuss proposed plan. 08/21/13 Telephone call from M. Radfar re receipt of ballot. 08/22/13 Telephone conference with M. Parkravan re voting on plan. 08/22/13 Telephone conference with F. Nazarian re voting on plan. 08/23/13 Multiple correspondence with creditors re voting on plan. 08/26/13 Multiple correspondence with M. Torbati re ballot needed for voting on plan. 08/26/13 Multiple correspondence with L. Moreh re explanation re voting on plan. 08/26/13 Telephone conference with Mona re voting on plan. Atty RMK MRD MRD MRD MRD LMS LMS MRD MRD MRD MRD LMS MRD MRD MRD MRD MRD MRD MRD RMK LMS MRD RMK MRD MRD MRD MRD MRD MRD

September 26, 2013 Invoice 70323 Page 23


Hours 0.60 0.10 0.50 0.10 0.20 0.40 0.40 0.20 0.10 0.20 0.30 0.80 0.10 0.10 0.20 0.10 0.20 0.10 0.30 0.20 1.80 0.10 0.10 0.10 0.10 0.30 0.10 0.20 0.10 Amount 180.00 37.50 187.50 37.50 75.00 210.00 210.00 75.00 37.50 75.00 112.50 420.00 37.50 37.50 75.00 37.50 75.00 37.50 112.50 60.00 945.00 37.50 30.00 37.50 37.50 112.50 37.50 75.00 37.50

Exhibit 1, Page 23

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date 08/26/13 08/27/13 08/27/13 09/02/13 09/03/13 09/04/13 09/04/13 09/10/13 09/12/13 09/12/13 09/12/13 09/16/13 09/20/13 09/20/13 09/23/13 Description Telephone conference with M. Behfarian re voting on plan. Telephone conference with D. Faridooni re voting on plan. Telephone call to M. Radfar re ballot for plan confirmation. Review and analyze multiple correspondence from creditors re meeting re plan. Numerous communications with Committee and creditors re plan reactions. Review and analyze brief re confirmation of plan submitted by trustees. Brief review of plan confirmation pleadings filed by Trustees; advise clients. Telephone conference with Linda re status of plan and remaining assets. Prepare email to committee re plan confirmation documents. Communications with committee members in preparation for plan conference hearing. Initial review of Pension Benefit Guaranty Corporation settlement; prepare comments and recommendations. Email to and from committee re voting by creditors on plan. Review and analyze objection to confirmation of plan; send email to committee re same. Review and analyze pleadings opposing plan confirmation; prepare comments. Communications with clients in preparation for plan confirmation hearing. Subtotal Atty MRD MRD RMK MRD LMS MRD LMS MRD MRD LMS LMS MRD MRD LMS LMS 61.50

September 26, 2013 Invoice 70323 Page 24


Hours 0.20 0.10 0.10 0.10 1.10 0.60 0.80 0.20 0.10 0.50 0.50 0.10 0.30 0.80 0.50 Amount 75.00 37.50 30.00 37.50 577.50 225.00 420.00 75.00 37.50 262.50 262.50 37.50 112.50 420.00 262.50 25,803.50

Exhibit 1, Page 24

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date Description Atty

September 26, 2013 Invoice 70323 Page 25


Hours 0.10 Amount 32.50 32.50

**Trade Creditor Avoidance Litigation**


MRD 0.10 Subtotal

10/24/12 Emails with L. Wang Ekvall re status of litigation in Exchange case.

Exhibit 1, Page 25

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date Description Atty

September 26, 2013 Invoice 70323 Page 26


Hours 0.40 Amount 210.00 210.00

**Insider Avoidance Litigation**


LMS 0.40 Subtotal

05/21/13 Communications with interested parties re status of family litigation.

Exhibit 1, Page 26

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date Description Atty

September 26, 2013 Invoice 70323 Page 27


Hours 0.60 0.80 0.50 0.10 0.20 0.30 0.10 0.10 0.30 0.40 0.20 0.60 0.40 0.30 0.40 0.10 0.30 0.30 0.30 0.40 1.10 Amount 315.00 420.00 262.50 32.50 65.00 97.50 37.50 37.50 112.50 210.00 75.00 315.00 150.00 112.50 150.00 37.50 157.50 112.50 112.50 150.00 577.50

**Litigation - 001**
LMS RSH LMS MRD MRD MRD MRD MRD MRD LMS MRD LMS MRD MRD MRD MRD LMS MRD MRD MRD LMS

09/28/12 Initial review of pleadings re Wells Fargo Bank settlement; prepare comment and recommendations. 10/24/12 Review and analyze issue re statute of limitations; review code and draft reply. 11/13/12 Initial review and discussions with Meadows re Tranmar settlement; prepare comments and instructions. 11/20/12 Review and analyze motion to approve settlement between Beshmada and White Water Funding. 11/20/12 Review and analyze motion to approve settlement between Beshmada and White Water Funding. 12/07/12 Review and analyze motion to approve settlement with TN Managment and T. Namvar; send email to committee re same. 01/16/13 Review and analyze reply of trustees to opposition to motion to approve Tranmar settlement. 02/01/13 Review and analyze multiple correspondence re settlement with M. Namvar. 02/06/13 Review and analyze motion to approve compromise with Town and Country Bank; send email to committee re same. 02/06/13 Initial review of proposed settlement with Town &Country; prepare comments and instructions. 02/06/13 Review and analyze motion to approve settlement with PNC Bank; send e-mail to committee re same. 02/07/13 Initial review of proposed settlement of PNC claim litigation; prepare instructions for further evaluation. 02/07/13 Telephone conference with U. Raanan re reason for settlements; send email to committee re same. 02/11/13 Telephone conference with R. Sokyl re settlements with PNC Bank and Town and Country Bank; send email to committee re same. 02/27/13 Review and analyze motion to approve settlement with Cathay Bank; send email to committee re same. 02/27/13 Telephone conference with R. Sokol re settlement with Cathay Bank. 03/06/13 Continued communications with clients and prepare instructions re response to Cathay Bank settlement. 03/16/13 Review and analyze motion to approve settlement with Princeton, LLC; send email to committee re same. 03/16/13 Review and analyze motion to approve settlement with Starpoint, 450 Roxbury, etc; send email to committee re same. 03/18/13 Telephone conference with W. Oetzell re settlements with Princeton and Starpoint; update correspondence with committee re same. 03/20/13 Initial review of pleadings re settlements with Princeton and Stairpoints;

Exhibit 1, Page 27

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date 03/22/13 04/10/13 04/29/13 04/30/13 05/01/13 05/03/13 05/06/13 05/10/13 Description prepare comments and instructions after speaking to Chair. Review and analyze stipulation between Trustee, Opus and I. Namvar. Appear at hearing on approval of settlements with Starpoint parties and Princeton Holdings. Review and analyze motion to approve settlement with Woodman Partners; send correspondence to committee re same. Initial review of Woodman settlement pleadings; prepare instructions. Review and analyze correspondence from W. Oetzell re further information on settlement with Woodman Partners. Communications with Namco committee counsel and reach out to Trustee's counsel re problematic litigation findings. Numerous communications with interested parties to organize meeting to discuss litigation issues. Review and analyze correspondence re status of multiple litigation in both Namvar and Namco cases. Atty MRD MRD MRD LMS MRD LMS LMS MRD LMS MRD MRD MRD LMS MRD LMS MRD MRD MRD LMS MRD LMS LMS MRD LMS

September 26, 2013 Invoice 70323 Page 28


Hours 0.10 0.40 0.20 0.40 0.10 0.60 0.60 0.10 5.70 0.10 0.10 0.10 0.50 0.10 0.60 0.30 0.10 0.10 0.40 0.30 0.50 0.40 0.10 0.40 Amount 37.50 150.00 75.00 210.00 37.50 315.00 315.00 37.50 2,992.50 37.50 37.50 37.50 262.50 37.50 315.00 112.50 37.50 37.50 210.00 112.50 262.50 210.00 37.50 210.00

05/10/13 Preparation for and attend meeting with Trustees and counsel re litigation status report. 05/15/13 Review and provide comments re memo to committees re status of litigation by trustees. 05/20/13 Email to and from H. Babajoni re status of litigation brought by trustees. 05/22/13 Email to and from D. Poitras re further information on judgments obtained by trustees. 05/23/13 Review and analyze status report by Trustees re litigation; comments for client. 05/28/13 Prepare email to D. Poitras re further questions on pending litigation by trustees. 05/28/13 Multiple communications with committee members re case and litigation status issues. 05/29/13 Review and analyze motion to approve settlement with Laska Trust. 05/30/13 Prepare and send e-mail to committee re proposed settlement with Laskas. 05/30/13 Email to and from W. Oetzell re attorneys' fees incurred on Laska settlement. 05/30/13 Initial review of Laska settlement; prepare instructions. 06/14/13 Review and analyze motion to approve settlement with 601 Mobil. 06/14/13 Initial review of pleadings re proposed settlement with Mobil; prepare comments and instructions. 06/21/13 Communications with clients re issues with Ponzi scheme designation. 06/21/13 Review and analyze correspondence from D. Meadows re questions on Raestagar settlement. 06/24/13 Continued communications with Trustee counsel re status of various

Exhibit 1, Page 28

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date 07/03/13 07/03/13 08/08/13 09/12/13 Description litigation matters. Review and analyze motion to approve settlement with T. Kohan; send email to committee re same. Initial review of settlement with Kohan parties; prepare comments. Review and analyze motion to approve settlement with Canyon Springs; send email to committee re same. Review and analyze motion to approve compromise with pension plan; send email to committee re same. Subtotal Total Fees Atty MRD LMS MRD MRD 22.50 200.30

September 26, 2013 Invoice 70323 Page 29


Hours 0.40 0.60 0.60 0.80 Amount 150.00 315.00 225.00 300.00 10,657.50 78,287.50

Exhibit 1, Page 29

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS September 26, 2013 Invoice 70323 Page 30

Costs Date 09/19/12 09/20/12 09/25/12 09/25/12 09/25/12 09/26/12 09/27/12 09/27/12 09/27/12 09/30/12 10/02/12 10/04/12 10/04/12 10/04/12 10/04/12 10/04/12 10/04/12 10/04/12 10/05/12 10/10/12 10/10/12 10/10/12 10/10/12 10/10/12 10/10/12 10/10/12 10/10/12 10/10/12 Description Parking; Parking expense on 7/24/12; Len Shulman Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Photocopy; Fee Application-Notice Postage Postage Access and review PACER database for; Docket Report Photocopy; Fee Application-Notice Postage Computer Research; Inv. 1209015533;9/30/12;Computer Research ; Lexis Nexis Photocopy; Motion Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Image1332-0 Access and review PACER database for; Deadline/Schedule Access and review PACER database for; Docket Report Access and review PACER database for; All Court Types Case Search Access and review PACER database for; All Court Types Case Search Attorney and Messenger Service; Inv.5031769;10/03/2012;File and return conformed copies of Joinder re Oppo x2 Federal Express; Inv. 2-040-26452;10/5/12;Overnight delivery on 9/27/12 to L. Fairgin, Los Angeles ; Federal Express Federal Express; Inv. 2-040-26452;10/5/12;Overnight delivery on 9/27/12 to R. Baum, Los Angeles ; Federal Express Federal Express; Inv. 2-040-26452;10/5/12;Overnight delivery on 9/27/12 to S. Alyeshmerni, Los Angeles ; Federal Express Federal Express; Inv. 2-040-26452;10/5/12;Overnight delivery on 9/27/12 to D. Haghani, Santa Monica; Federal Express Federal Express; Inv. 2-040-26452;10/5/12;Overnight delivery on 10/3/12 to L. Faigin, Los Angeles; Federal Express Federal Express; Inv. 2-040-26452;10/5/12;Overnight delivery on 10/3/12 to R. Baum, Los Angeles ; Federal Express Federal Express; Inv. 2-040-26452;10/5/12;Overnight delivery on 10/3/12 to S. Alyeshmerni, Los Angeles ; Federal Express Federal Express; Inv. 2-040-26452;10/5/12;Overnight delivery on 10/3/12 to D. Haghani, Santa Monica ; Federal Express Federal Express; Inv. 2-040-26452;10/5/12;Overnight return delivery on 10/2/12 to A. Amount 8.00 3.60 2.16 75.80 5.80 18.95 3.60 10.80 0.90 18.80 11.00 3.60 3.60 0.84 0.72 0.48 0.12 0.12 8.00 10.48 7.97 10.48 7.97 10.67 8.12 10.67 8.12 7.40

Exhibit 1, Page 30

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date 10/11/12 10/12/12 10/16/12 10/16/12 10/16/12 10/18/12 10/19/12 10/19/12 10/25/12 10/31/12 10/31/12 11/01/12 11/12/12 11/12/12 11/21/12 11/29/12 12/06/12 12/13/12 12/13/12 12/13/12 12/20/12 12/27/12 01/03/13 01/03/13 01/03/13 01/03/13 01/10/13 01/10/13 01/10/13 01/15/13 01/17/13 01/22/13 01/23/13 01/23/13 01/23/13 01/23/13 Description Udo, Irvine; Federal Express Access and review PACER database for; Docket Report Attorney and Messenger Service; Inv.5031903;10/09/2012;File and return conformed copies of Order x2 Access and review PACER database for; Docket Report Access and review PACER database for; Image167-0 Access and review PACER database for; Image167-1 Access and review PACER database for; Docket Report Photocopy; Motion Postage Access and review PACER database for; Docket Report Parking; Parking expense at hearing on 10/3/12; Melissa Lowe Parking; Parking expense at hearing on 10/16/12; Melissa Lowe Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Image2114-0 Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Image1379-0 Access and review PACER database for; Docket Report Access and review PACER database for; Image1369-0 Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Image1-0 Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Postage Access and review PACER database for; Docket Report Access and review PACER database for; Image15-0 Access and review PACER database for; Docket Report Access and review PACER database for; Image1156-0

September 26, 2013 Invoice 70323 Page 31


Amount 3.60 8.00 3.60 3.60 3.60 9.12 59.20 15.60 3.60 8.00 8.00 5.64 3.60 3.60 3.48 3.48 3.60 3.60 2.16 3.60 5.64 3.60 1.08 0.72 1.08 0.84 4.20 3.60 1.32 3.60 3.48 2.25 0.24 0.48 7.20 1.32

Exhibit 1, Page 31

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date 01/23/13 01/23/13 01/24/13 01/25/13 01/28/13 01/30/13 01/30/13 01/30/13 01/31/13 01/31/13 01/31/13 02/05/13 02/05/13 02/05/13 02/05/13 02/05/13 02/05/13 02/05/13 02/06/13 02/06/13 02/13/13 02/13/13 02/13/13 02/13/13 02/13/13 02/13/13 02/13/13 02/13/13 02/13/13 02/13/13 02/14/13 02/14/13 02/21/13 02/21/13 02/22/13 02/27/13 02/27/13 02/28/13 Description Access and review PACER database for; Docket Report Postage Postage Access and review PACER database for; Docket Report Access and review PACER database for; Image150-0 Access and review PACER database for; Docket Report Access and review PACER database for; Image1388-0 Postage Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Image902-0 Access and review PACER database for; Docket Report Access and review PACER database for; Image770-0 Access and review PACER database for; Image770-1 Access and review PACER database for; Image770-2 Access and review PACER database for; Image795-0 Access and review PACER database for; Docket Report Postage Postage Postage Access and review PACER database for; Docket Report Access and review PACER database for; Image930-0 Access and review PACER database for; Docket Report Access and review PACER database for; Image13-0 Access and review PACER database for; Image14-0 Access and review PACER database for; Docket Report Access and review PACER database for; Image218-0 Access and review PACER database for; Docket Report Access and review PACER database for; Image906-0 Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Postage Access and review PACER database for; Docket Report Postage Postage Access and review PACER database for; Docket Report Access and review PACER database for; Image2178-0 Access and review PACER database for; Docket Report

September 26, 2013 Invoice 70323 Page 32


Amount 3.84 2.25 8.55 3.60 1.32 3.60 3.60 3.44 3.48 3.60 3.60 3.60 3.60 3.60 3.60 0.96 3.60 1.84 0.46 0.46 3.60 1.80 0.24 0.96 0.84 5.88 1.92 3.60 0.96 6.48 5.28 1.38 3.60 0.46 0.46 1.44 3.60 3.60

Exhibit 1, Page 32

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date 02/28/13 03/07/13 03/13/13 03/13/13 03/13/13 03/13/13 03/14/13 03/15/13 03/18/13 03/18/13 03/18/13 03/18/13 03/18/13 03/21/13 03/22/13 03/22/13 03/22/13 03/27/13 03/27/13 03/27/13 03/27/13 03/27/13 03/27/13 03/29/13 04/02/13 04/02/13 04/02/13 04/02/13 04/02/13 04/02/13 04/03/13 04/03/13 04/04/13 04/11/13 04/18/13 04/18/13 04/25/13 04/30/13 Description Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Image30251422-0 Access and review PACER database for; Docket Report Access and review PACER database for; Creditor Mailing Matrix Access and review PACER database for; Creditor Mailing Matrix Access and review PACER database for; Docket Report Postage Access and review PACER database for; Image237-0 Access and review PACER database for; Image433-0 Access and review PACER database for; Image431-0 Access and review PACER database for; Image86-0 Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Image1430-0 Postage Access and review PACER database for; Docket Report Access and review PACER database for; Image903-0 Access and review PACER database for; Image1925-0 Access and review PACER database for; Image1926-0 Access and review PACER database for; IMage2028-0 Access and review PACER database for; Image2114-0 Access and review PACER database for; Docket Report Postage Postage Postage Postage Postage Postage Access and review PACER database for; Docket Report Access and review PACER database for; Image1391-0 Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Parking; Parking expense at hearing on 4/3/13; Michelle Choi

September 26, 2013 Invoice 70323 Page 33


Amount 3.60 3.36 2.16 3.60 1.44 1.44 3.36 1.38 3.60 3.60 3.60 0.36 0.96 3.48 7.20 3.24 0.46 12.24 2.64 0.96 0.96 1.68 2.16 3.60 12.00 6.60 13.50 9.75 6.60 7.45 3.60 0.84 3.60 3.60 3.60 1.32 3.60 8.00

Exhibit 1, Page 33

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date 05/02/13 05/02/13 05/02/13 05/02/13 05/02/13 05/03/13 05/11/13 05/16/13 05/20/13 05/21/13 05/21/13 05/21/13 05/24/13 05/29/13 05/30/13 06/06/13 06/10/13 06/11/13 06/13/13 06/18/13 06/19/13 06/19/13 06/20/13 06/24/13 06/24/13 06/27/13 07/02/13 07/03/13 07/03/13 07/03/13 07/08/13 07/08/13 07/08/13 07/09/13 07/09/13 07/09/13 07/09/13 07/11/13 Description Access and review PACER database for; Docket Report Access and review PACER database for; Image1466-0 Access and review PACER database for; Image24587638-0 Access and review PACER database for; Image24587924-0 Access and review PACER database for; Docket Report Postage Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Image1482-0 Access and review PACER database for; Docket Report Access and review PACER database for; Image1435-0 Access and review PACER database for; Associated Cases Access and review PACER database for; Docket Report Parking; Parking expense at hearing on 5/8/13; Rika Kido Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Image1387-0 Access and review PACER database for; Docket Report Postage Access and review PACER database for; Docket Report Access and review PACER database for; Image1523-0 Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Image1501-0 Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Image1535-0 Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Image1537-1 Access and review PACER database for; Image1537-2 Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Image1537-0 Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report

September 26, 2013 Invoice 70323 Page 34


Amount 1.92 3.60 0.48 0.48 3.60 1.92 3.60 3.60 0.84 3.60 0.84 0.36 3.36 8.00 3.60 3.60 3.60 0.96 3.60 0.66 2.40 1.68 3.60 2.28 2.04 3.48 2.88 3.60 2.28 3.60 3.60 0.24 0.24 2.40 2.40 1.68 2.40 3.60

Exhibit 1, Page 34

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date 07/15/13 07/15/13 07/15/13 07/15/13 07/15/13 07/15/13 07/15/13 07/15/13 07/17/13 07/17/13 07/17/13 07/17/13 07/18/13 07/22/13 07/23/13 07/23/13 07/25/13 07/25/13 07/25/13 07/25/13 07/25/13 07/25/13 07/25/13 07/25/13 07/25/13 07/25/13 07/25/13 07/25/13 08/01/13 08/06/13 08/06/13 08/07/13 08/07/13 08/08/13 08/08/13 08/08/13 Description Access and review PACER database for; Docket Report Access and review PACER database for; Image59-0 Access and review PACER database for; Image77-0 Access and review PACER database for; Docket Report Access and review PACER database for; Image1555-0 Access and review PACER database for; Associated Cases Access and review PACER database for; Docket Report Access and review PACER database for; Image44-0 Access and review PACER database for; Image25366115-0 Access and review PACER database for; Image24874665-0 Access and review PACER database for; Image29257663-0 Access and review PACER database for; Image292563970-0 Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Image30686786-0 Access and review PACER database for; Image30686519-0 Access and review PACER database for; Docket Report Access and review PACER database for; Image30505252-0 Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Image1594-0 Access and review PACER database for; Image1593-0 Access and review PACER database for; Image1592-0 Access and review PACER database for; Image1577-2 Access and review PACER database for; Image1577-0 Access and review PACER database for; Image1577-1 Access and review PACER database for; Image1578-0 Access and review PACER database for; Bankruptcy Case Search Access and review PACER database for; Docket Report Access and review PACER database for; List of Creditors Access and review PACER database for; List of Creditors Federal Express; Inv. 2-356-27429;8/2/13;Overnight delivery on 7/29/13 to E. Namvar, Los Angeles ; Federal Express Federal Express; Inv. 2-356-27429;8/2/13;Overnight delivery on 7/29/13 to T. Thielemann, Santa Barbara ; Federal Express Access and review PACER database for; Docket Report Access and review PACER database for; Image1641-0 Access and review PACER database for; Docket Report

September 26, 2013 Invoice 70323 Page 35


Amount 4.08 0.36 0.36 3.60 3.48 0.36 0.60 0.48 0.36 0.36 0.36 0.60 3.60 3.48 3.60 3.60 3.60 3.60 3.60 3.60 1.68 3.24 0.72 0.96 3.60 3.60 0.72 0.12 3.60 3.12 7.20 13.59 10.99 3.60 3.60 3.60

Exhibit 1, Page 35

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date 08/08/13 08/08/13 08/08/13 08/09/13 08/12/13 08/12/13 08/12/13 08/13/13 08/13/13 08/13/13 08/13/13 08/13/13 08/16/13 08/22/13 08/29/13 09/03/13 09/03/13 09/03/13 09/03/13 09/03/13 09/03/13 09/04/13 09/04/13 09/04/13 09/10/13 09/12/13 09/16/13 09/17/13 09/19/13 Description Access and review PACER database for; Image2356-0 Access and review PACER database for; Image2357-0 Photocopy; Letter Photocopy; Motion Access and review PACER database for; Image24587638-0 Photocopy; Motion Postage Access and review PACER database for; Image1274-0 Access and review PACER database for; Image1506-0 Access and review PACER database for; Image1348-0 Access and review PACER database for; Image30588577-0 Access and review PACER database for; Image1349-0 Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Access and review PACER database for; Image1674-0 Access and review PACER database for; Image1678-0 Access and review PACER database for; Docket report Access and review PACER database for; Image1684-0 Photocopy; Motion Photocopy; Complaint Postage Postage Access and review PACER database for; List of Creditors Access and review PACER database for; Docket Report Postage Photocopy; Fee Application-Notice Access and review PACER database for; Docket Report Total Disbursements

September 26, 2013 Invoice 70323 Page 36


Amount 3.60 3.60 29.00 2.40 0.48 132.80 6.60 3.60 0.84 1.08 0.48 1.08 3.60 3.60 3.60 3.12 0.72 0.72 3.24 0.84 30.60 10.80 0.66 2.32 4.68 3.60 0.66 33.40 3.60 1,221.50

Exhibit 1, Page 36

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS September 26, 2013 Invoice 70323 Page 37

**Asset Disposition** Melissa R. Davis Leonard M. Shulman

Fee Recap by Task Code 6.60 25.50 375.00 525.00 Subtotal 2,230.00 13,387.50 15,617.50

**Business Operations** Melissa R. Davis Leonard M. Shulman 0.90 0.30 375.00 525.00 Subtotal **Case Administration** Melissa R. Davis Erlanna L. Lohayza Leonard M. Shulman 8.40 4.00 5.90 375.00 195.00 525.00 Subtotal ** Fee Application** Melissa R. Davis Lorre E. Clapp Erlanna L. Lohayza Leonard M. Shulman 6.40 20.80 19.40 1.00 375.00 195.00 195.00 525.00 Subtotal **Fee and Employment Objections** Melissa R. Davis Erlanna L. Lohayza Leonard M. Shulman 0.90 0.50 1.90 375.00 195.00 525.00 Subtotal **Meeting of Creditors** Melissa R. Davis Leonard M. Shulman 1.70 11.60 375.00 525.00 Subtotal **Plan and Disclosure Statement** Rika M. Kido Melissa R. Davis Erlanna L. Lohayza 1.00 21.10 9.30 300.00 375.00 195.00 300.00 7,887.50 1,813.50 592.50 6,090.00 6,682.50 312.50 97.50 997.50 1,407.50 2,125.00 4,056.00 3,783.00 525.00 10,489.00 3,015.00 780.00 3,097.50 6,892.50 337.50 157.50 495.00

Exhibit 1, Page 37

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Leonard M. Shulman 30.10

September 26, 2013 Invoice 70323 Page 38


525.00 Subtotal 15,802.50 25,803.50

**Trade Creditor Avoidance Litigation** Melissa R. Davis 0.10 325.00 Subtotal **Insider Avoidance Litigation** Leonard M. Shulman 0.40 525.00 Subtotal **Litigation - 001** Melissa R. Davis Leonard M. Shulman Ronald S. Hodges 7.50 14.20 0.80 375.00 525.00 525.00 Subtotal 2,782.50 7,455.00 420.00 10,657.50 210.00 210.00 32.50 32.50

78,287.50

Exhibit 1, Page 38

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS September 26, 2013 Invoice 70323 Page 39

Fees by Month 9/1/2012 Davis, Melissa R. Lohayza, Erlanna L. Shulman, Leonard M. Subtotal 10/1/2012 Davis, Melissa R. Hodges, Ronald S. Lohayza, Erlanna L. Shulman, Leonard M. Subtotal 11/1/2012 Davis, Melissa R. Lohayza, Erlanna L. Shulman, Leonard M. Subtotal 12/1/2012 Davis, Melissa R. Lohayza, Erlanna L. Shulman, Leonard M. Subtotal 1/1/2013 Davis, Melissa R. Lohayza, Erlanna L. Shulman, Leonard M. Subtotal 2/1/2013 Davis, Melissa R. Lohayza, Erlanna L. Shulman, Leonard M. 2.80 0.20 4.50 1,050.00 39.00 2,362.50 1.60 0.10 4.60 600.00 19.50 2,415.00 3,034.50 2.40 0.40 6.50 780.00 78.00 3,412.50 4,270.50 4.90 0.80 15.40 1,592.50 156.00 8,085.00 9,833.50 6.60 0.80 0.70 3.50 2,145.00 420.00 136.50 1,837.50 4,539.00 1.80 18.60 2.40 585.00 3,627.00 1,260.00 5,472.00

Exhibit 1, Page 39

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Subtotal 3/1/2013 Davis, Melissa R. Shulman, Leonard M. Subtotal 4/1/2013 Davis, Melissa R. Shulman, Leonard M. Subtotal 5/1/2013 Davis, Melissa R. Shulman, Leonard M. Subtotal 6/1/2013 Davis, Melissa R. Lohayza, Erlanna L. Shulman, Leonard M. Subtotal 7/1/2013 Davis, Melissa R. Shulman, Leonard M. Subtotal 8/1/2013 Davis, Melissa R. Kido, Rika M. Lohayza, Erlanna L. Shulman, Leonard M. Subtotal 9/1/2013 Clapp, Lorre E. Davis, Melissa R. 20.80 3.40 4,056.00 1,275.00 10.30 1.00 11.40 11.70 3,862.50 300.00 2,223.00 6,142.50 12,528.00 5.60 3.30 2,100.00 1,732.50 3,832.50 5.10 0.30 8.40 1,912.50 58.50 4,410.00 6,381.00 3.50 20.80 1,312.50 10,920.00 12,232.50 3.70 3.60 1,387.50 1,890.00 3,277.50 1.90 2.00 712.50 1,050.00 1,762.50

September 26, 2013 Invoice 70323 Page 40


3,451.50

Exhibit 1, Page 40

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Lohayza, Erlanna L. Shulman, Leonard M. Subtotal Total Fees 200.30 0.70 4.20

September 26, 2013 Invoice 70323 Page 41


136.50 2,205.00 7,672.50 78,287.50

Exhibit 1, Page 41

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS September 26, 2013 Invoice 70323 Page 42

Monthly Fees Task Recap Date 09/2012 **Case Administration** ** Fee Application** **Fee and Employment Objections** **Plan and Disclosure Statement** **Litigation - 001** Subtotal 10/2012 **Asset Disposition** **Case Administration** ** Fee Application** **Fee and Employment Objections** **Meeting of Creditors** **Plan and Disclosure Statement** **Trade Creditor Avoidance Litigation** **Litigation - 001** Subtotal 11/2012 **Asset Disposition** **Case Administration** ** Fee Application** **Meeting of Creditors** **Plan and Disclosure Statement** **Litigation - 001** Subtotal 12/2012 **Asset Disposition** **Case Administration** ** Fee Application** **Meeting of Creditors** **Plan and Disclosure Statement** **Litigation - 001** 7.40 0.80 0.20 0.40 0.20 0.30 3,585.00 234.00 39.00 210.00 105.00 97.50 11.10 2.80 0.10 5.70 0.60 0.80 5,247.50 1,019.00 19.50 2,892.50 295.00 360.00 9,833.50 1.00 0.70 5.40 1.60 1.30 0.70 0.10 0.80 425.00 214.50 1,830.00 707.00 602.50 307.50 32.50 420.00 4,539.00 0.40 19.80 0.40 1.60 0.60 130.00 4,129.00 78.00 820.00 315.00 5,472.00 Description Hours Amount

Exhibit 1, Page 42

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Subtotal 01/2013 **Asset Disposition** **Case Administration** **Meeting of Creditors** **Litigation - 001** Subtotal 02/2013 **Asset Disposition** **Business Operations** **Case Administration** **Plan and Disclosure Statement** **Litigation - 001** Subtotal 03/2013 **Asset Disposition** **Case Administration** **Plan and Disclosure Statement** **Litigation - 001** Subtotal 04/2013 **Asset Disposition** **Case Administration** **Plan and Disclosure Statement** **Litigation - 001** Subtotal 05/2013 **Asset Disposition** **Case Administration** **Fee and Employment Objections** **Meeting of Creditors** **Plan and Disclosure Statement** **Insider Avoidance Litigation** **Litigation - 001** 1.40 1.10 0.50 0.80 10.60 0.40 9.50 735.00 472.50 247.50 420.00 5,325.00 210.00 4,822.50 0.60 1.20 4.50 1.00 315.00 540.00 1,987.50 435.00 3,277.50 0.10 0.60 0.70 2.50 37.50 225.00 352.50 1,147.50 1,762.50 2.50 0.70 0.80 0.70 2.80 1,312.50 307.50 264.00 367.50 1,200.00 3,451.50 1.30 1.50 3.40 0.10 667.50 634.50 1,695.00 37.50 3,034.50

September 26, 2013 Invoice 70323 Page 43


4,270.50

Exhibit 1, Page 43

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Subtotal 06/2013 **Asset Disposition** **Business Operations** **Case Administration** **Meeting of Creditors** **Plan and Disclosure Statement** **Litigation - 001** Subtotal 07/2013 **Asset Disposition** **Case Administration** **Plan and Disclosure Statement** **Litigation - 001** Subtotal 08/2013 **Asset Disposition** **Case Administration** **Fee and Employment Objections** **Plan and Disclosure Statement** **Litigation - 001** Subtotal 09/2013 **Case Administration** ** Fee Application** **Plan and Disclosure Statement** **Litigation - 001** Subtotal Total Fees 200.30 0.60 22.10 5.60 0.80 171.00 4,471.50 2,730.00 300.00 7,672.50 78,287.50 1.80 4.80 0.80 26.40 0.60 915.00 1,707.00 375.00 9,306.00 225.00 12,528.00 1.70 1.40 4.80 1.00 817.50 615.00 1,935.00 465.00 3,832.50 3.20 0.50 1.60 1.70 5.10 1.70 1,560.00 187.50 666.00 862.50 2,272.50 832.50 6,381.00

September 26, 2013 Invoice 70323 Page 44


12,232.50

Exhibit 1, Page 44

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS September 26, 2013 Invoice 70323 Page 45

Cost Recap by Task Code Attorney and Messenger service PACER charges Postage Photocopy Federal Express Parking Computer Research Subtotal Total Disbursements 16.00 511.08 133.36 395.80 106.46 40.00 18.80 1,221.50 1,221.50

Exhibit 1, Page 45

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Monthly Cost Task Recap Date Description Other Services Pacer Parking Photocopy Postage Subtotal Amount 18.80 9.36 8.00 86.60 25.65 148.41 16.00 81.88 36.60 16.00 70.20 15.60 Subtotal 236.28 19.80 Subtotal 19.80 22.20 Subtotal 22.20 55.80 16.49 Subtotal 72.29 66.36 5.06 Subtotal 71.42

September 26, 2013 Invoice 70323 Page 46

09/2012

10/2012
Attorney and Messenger Service Federal Express Pacer Parking Photocopy Postage

11/2012
Pacer

12/2012
Pacer

01/2013
Pacer Postage

02/2013
Pacer Postage

03/2013

Exhibit 1, Page 46

Shulman Hodges & Bastian LLP Marc Asheghian Re: In re Ezri Namvar/ 11 Creditor Committee I.D. 3985-000 - LMS
Date Description Pacer Postage Subtotal

September 26, 2013 Invoice 70323 Page 47


Amount 65.64 1.84 67.48 20.16 8.00 55.90 Subtotal 84.06 29.88 8.00 1.92 Subtotal 39.80 27.24 0.66 Subtotal 27.90 87.24 Subtotal 87.24 24.58 50.28 164.20 6.60 Subtotal 245.66 20.52 74.80 3.64 Subtotal Total Costs 98.96 1,221.50

04/2013
Pacer Parking Postage

05/2013
Pacer Parking Postage

06/2013
Pacer Postage

07/2013
Pacer

08/2013
Federal Express Pacer Photocopy Postage

09/2013
Pacer Photocopy Postage

Exhibit 1, Page 47

EXHIBIT 2 Billing Records as Special Claims Counsel to the Trustee

September 26, 2013 R. Todd Neilson Chapter 11 for the Estate of Ezri Namvar 2049 Century Park East, Suite 2525 Los Angeles, CA 90067 ID: 3985-001 - LMS Re: Claims Work/Neilson-11TT Invoice 70324

For Services Rendered Through September 25, 2013 Current Fees Current Costs 96,505.50 3,201.18

Fee Recap Erlanna L. Lohayza Anne Marie Vernon Leonard M. Shulman Steve P. Swartzell Rika M. Kido Rika M. Kido Melissa R. Davis Melissa R. Davis Michelle Choi Michelle Choi Paralegal Paralegal Partner Paralegal Associate Attorney Associate Attorney Associate Attorney Associate Attorney Associate Attorney Associate Attorney Hours 48.50 8.20 19.60 5.70 13.30 145.60 10.60 23.80 3.40 63.50 Rate/Hour 195.00 175.00 525.00 175.00 250.00 300.00 325.00 375.00 195.00 225.00 Amount 9,457.50 1,435.00 10,290.00 997.50 3,325.00 43,680.00 3,445.00 8,925.00 663.00 14,287.50

8105 Irvine Center Drive Suite 600 Irvine, California 92618 Telephone : 949/340-3400

Exhibit 2, Page 1

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Fees Grouped by Task Date Description

September 26, 2013 Invoice 70324 Page 2

Atty RMK MRD RMK RMK RMK RMK RMK RMK RMK RMK RMK MRD RMK MRD MRD RMK MRD MRD MRD MRD

Hours 0.20 0.10 0.30 0.20 0.30 0.30 0.20 0.20 0.10 0.20 0.10 0.40 0.40 0.30 0.60 0.20 0.40 0.20 0.20 0.30

Amount 50.00 32.50 75.00 50.00 75.00 75.00 50.00 50.00 25.00 50.00 25.00 130.00 100.00 97.50 195.00 50.00 130.00 65.00 65.00 97.50

**Claims Administration & Objections**

09/17/12 Telephone call from D. Haghani re objection to his late filed claim and our withdrawal of M&S Partnership's claim. 09/18/12 Analysis of issues regarding oppositions filed to objections to late filed claims. 09/19/12 Review and analyze opposition of creditor D. Haghani to claim objection for late filed claim. 09/19/12 Review and analyze opposition of creditor S. Alyeshmerni to claim objection for late filed claim. 09/20/12 Review and analyze opposition of creditor BMW Financial Services to claim objection for late filed claim. 09/20/12 Review and analyze opposition of creditor BH Commercial to claim objection for late filed claim. 09/20/12 Emails to U. Raanan and trustee re opposition filed to objections to late filed claims. 09/20/12 Review and reply to email from U. Raanan re D. Haghani's opposition to trustee's objection to his late filed claim. 09/20/12 Review and reply to email from U Raanan re S. Alyeshmerni's opposition to trustee's objection to her late filed claim. 09/20/12 Review and reply to email from U. Raanan re BH Commercial Capital's opposition to trustee's objection to its late filed claim. 09/20/12 Review and reply to email from U. Raanan re BMW's opposition to trustee's objection to its late filed claim. 09/20/12 Review and analyze briefly oppositions filed to motions objecting to late filed claims; review comments from U. Ranaan re same. 09/21/12 Review and analyze issues re oppositions to objections to late filed claims. 09/21/12 Prepare instructions to R. Kido re reply to oppositions to claim objection motions re late filed claims; send e-mail to T. Neilson and U. Ranaan re same. 09/24/12 Draft omnibus reply to oppositions filed to motion to disallow late filed claims. 09/24/12 Review and revise reply to oppositions to objections to late filed claims. 09/25/12 Review and analyze case law and statutory authority re requirements for informal proof of claim and whether motion for relief from stay can qualify. 09/25/12 Review and revise reply to oppositions to motion to disallow late filed claims. 09/26/12 Finalize reply to oppositions to motion to disallow late filed claims. 09/28/12 Review and analyze motion to approve settlement with Wells Fargo; send

Exhibit 2, Page 2

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 09/28/12 10/02/12 10/03/12 10/03/12 10/03/12 10/03/12 10/03/12 10/03/12 10/08/12 10/09/12 10/11/12 10/12/12 10/16/12 10/19/12 Description email to committee re same. Telephone conference with U. Ranaan re questions on settlement with Wells Fargo. Prepare for hearing on objections to late filed and duplicate claims. Prepare for and attend hearings on motions for order disallowing late filed and duplicate claims, send email to client re same. Prepare order granting motion to disallow duplicate claims. Prepare order granting in part and denying in part motion to disallow late filed claims. Review and revise order approving motion to disallow duplicate claims. Review and revise order re motion to disallow late filed claims. Review and analyze issues re additional objections to clams. Telephone conference with E. Alyeshmerni re claim objection filed in Namco case. Telephone conference with E. Alyeshmerni re objection to claim filed in Namco case. Review and reply to email from N. Cowen re five claims filed on behalf of her family. Telephone conference with E. Alyeshmerni re outcome of objection to claim. Draft opposition to objection to claims of E. Alyeshmerni and S. Alyeshmerni. Review and analyze status and prepare instructions for completion of objections to secured claims. Atty MRD MRD MRD MRD MRD RMK RMK RMK MRD MRD RMK MRD MRD LMS MRD RMK MRD MRD RMK MRD ELL MRD LMS MRD MRD

September 26, 2013 Invoice 70324 Page 3


Hours 0.10 0.30 4.10 0.50 0.30 0.20 0.20 0.50 0.10 0.10 0.20 0.10 0.40 0.40 0.10 0.40 0.10 0.50 1.40 0.10 0.10 0.10 0.40 0.10 0.10 Amount 32.50 97.50 1,332.50 162.50 97.50 50.00 50.00 125.00 32.50 32.50 50.00 32.50 130.00 210.00 32.50 100.00 32.50 162.50 350.00 32.50 19.50 32.50 210.00 32.50 32.50

10/19/12 Review and analyze status of objections to be made to claims. 10/22/12 Review and analysis of issues re additional objections to claims and work on line of attack for proceeding on the estate's objections. 10/22/12 Discuss with R. Kido re objections to claims with one line guarantees. 10/24/12 Review and revise opposition to objection to claims of Alyeshmerni. 10/28/12 Review and analyze proof of claims for claims with one-line guaranties by the debtor; prepare chart re same. 10/31/12 Review and analyze correspondence from D. White re correct address for claimant; respond re same. 11/07/12 Review mail (Entered Order Granting Motions and Disallowing Claims) addressed to Ernesto and Socorro Vasquez and returned as undeliverable; update master mailing matrix for Rule 2002 notices re same. 11/07/12 Review and analyze email from A. Tehran re proper creditor address. 11/07/12 Review and analyze status of completing certain claim objections; prepare instructions. 11/07/12 Review and analyze objections to be filed to wrongly classified claims. 11/08/12 Prepare email to A. Tehan re change of address in Namvar case.

Exhibit 2, Page 3

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 11/15/12 Prepare communication with D. White re issues with service of documents. 11/15/12 Telephone conference with M. Covey re status of case. 11/29/12 Prepare weekly updates to unsecured creditors website. 12/06/12 Email to and from U. Ranaan re status of claims objections and possible objections to one line guarantee claims. 12/13/12 Review and analysis of secured claims reviewed and pulled by trustee's financial advisors. 12/13/12 Review and analyze case law and statutory authorities re requirements for payment of accrual of interest on claims filed against the estate. 12/13/12 Work on strategies for objecting to secured claims; update chart re same. 12/13/12 Analysis of issues related to claims asserted for usurious interest and advise R. Kido re same. 12/13/12 Review and analyze Mariana Jalil and Ezra Denis priority claim; determine grounds for objection to priority status. 12/13/12 Draft objection as to Marian Jalil priority claim. 12/13/12 Review and analyze alleged secured claims for objection; send correspondence to U. Ranaan. 12/14/12 Review and analysis of interest included on proof of claims for secured claims, work on strategies for objecting to same. 12/19/12 Review and analyze status of objections to claims. 01/03/13 Review and analysis of case issues and work on line of attack for proceeding on the estate's claims. 01/04/13 Review and revise chart re objections to secured claims in preparation for conference call. 01/04/13 Conference call with U. Raanan re issues re objections to secured claims and review of chart re same. 01/04/13 Review and analyze secured claims identified as needing to be objected to to determine whether additional documents are needed and that guaranties were executed concurrently with the secured note by the debtor. 01/04/13 Prepare for and telephone conference with U. Ranaan re objections to secured claims to file. 01/09/13 Draft Objection to Priority claims 27 & 63. 01/10/13 Draft communication to E. Held re question re interest accrual on objections to secured claims. 01/10/13 Analysis of issues re claims administration. 01/10/13 Draft priority claim objections and accompanying declaration. 01/10/13 Investigate status of objections to claims. 01/11/13 Overview of disputed claims and objections needed. 01/11/13 Review and revise motion for order disallowing certain priority claims. Atty MRD MRD MRD MRD RMK RMK RMK ELL MC MC MRD RMK MRD RMK RMK RMK RMK

September 26, 2013 Invoice 70324 Page 4


Hours 0.10 0.10 0.10 0.10 2.80 1.40 1.80 0.20 1.30 2.10 0.50 1.70 0.10 0.30 0.80 0.50 1.40 Amount 32.50 32.50 32.50 32.50 700.00 350.00 450.00 39.00 253.50 409.50 162.50 425.00 32.50 90.00 240.00 150.00 420.00

MRD MC RMK ELL MC MRD ELL MRD

0.60 0.90 0.10 0.10 2.40 0.20 0.20 0.20

225.00 202.50 30.00 19.50 540.00 75.00 39.00 75.00

Exhibit 2, Page 4

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 01/14/13 Review and revise pleadings objecting to priority claims of Jalil and Denis 01/14/13 Review and analyze email from U. Ranaan re additional objections and issues re claims. 01/14/13 Review and analyze U. Raanan's comments on draft objection to priority claims; review and revise appropriate changes to background facts. 01/14/13 Review ECF email correspondence re filing of Proof of Claim by Midland First Bank (including 27 exhibits); access and obtain Proof of Claim and initial review of same; update the claims tracking chart and the service list for Federal Rule of Bankruptcy Procedure 2002 notices regarding same. 01/14/13 Telephone conference with M. Cohen re status of case and sale of properties. 01/14/13 Prepare email to T. Neilson re draft objection to certain priority claims and review suggested changes. 01/14/13 Review email from U. Raanan re additional objectionable/disputed claims and analysis of issues related thereto. 01/14/13 Review and analyze U. Raanan's comments regarding priority objections; made appropriate adoptions to claims and argument section. 01/14/13 Review and analyze correspondence and documents from U. Ranaan re next set of claims objections to be filed. 01/14/13 Finalize draft priority objections; send to client for review. 01/15/13 Review and revise correspondence to B. Baradaran re additional documentation needed for Virgil Avenue Properties claim. 01/15/13 Review and revise correspondence to K. Newman re additional documentation needed for Inland Mortgage Capital Corporation proof of claim. 01/15/13 Review and revise correspondence to G. Salvato re additional documentation needed for Haroon Moossai proof of claim. 01/15/13 Review and analyze email from U. Raanan re additional claim objections and chart re same. 01/15/13 Review letters to send to secured creditors re additional information needed to support claims. 01/15/13 Review and revise correspondence to O. Razi re additional documentation needed in support of his proof of claim claim. 01/15/13 Review and revise correspondence to S. Montgomery re additional documentation needed in support of Separzadeh Revocable Trust's proof of claim claim. 01/15/13 Review and revise correspondence to S. Montgomery re additional documentation needed in support of Jacob and Soraya Separzadeh Trust's proof of claim claim. 01/15/13 Review and revise correspondence to S. Montgomery re additional documentation needed in support of Mouris and Diana Separzadeh Trust's proof of claim claim. Atty LMS RMK MC ELL

September 26, 2013 Invoice 70324 Page 5


Hours 0.60 0.40 0.30 0.20 Amount 315.00 120.00 67.50 39.00

MRD MRD ELL MC MRD MC RMK RMK RMK RMK MRD RMK RMK RMK RMK

0.10 0.20 0.10 0.40 0.10 0.20 0.10 0.10 0.10 0.20 0.10 0.10 0.10 0.10 0.10

37.50 75.00 19.50 90.00 37.50 45.00 30.00 30.00 30.00 60.00 37.50 30.00 30.00 30.00 30.00

Exhibit 2, Page 5

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 01/15/13 Brief review of claim filed by Inland Mortgage Capital Corporation, Omid Razi, Haroon Moosai, The John and Katrin Separzadeh Revocable Trust, The Jacob and Soraya Separzadeh Trust, The Mouris Separzadeh Trust and Virgil Avenue Properties, LLC and comments related to possible objections; draft correspondence to each claimant requesting documentation in support of respective claim. 01/16/13 Review and analyze new assignment of additional claims work; prepare comments and instructions. 01/16/13 Provide instructions to R. Kido and M. Choi re letters to claimants for additional information. 01/16/13 Review and analyze chart prepared by Trustee's general counsel re additional claims to object to and/or request additional documentation about. 01/16/13 Draft communication to U. Raanan re correspondence to claimants for additional documents/information. 01/16/13 Review and analyze chart of (over 20) secured claims for objections prepared by U. Raanan; review specified filed claims and all back up documentation in preparation for drafting objection to claims on grounds that debtor did not personally guarantee such debts. 01/16/13 Review ECF email correspondence re filing of amended Proof of Claim by Franchise Tax Board; access and obtain Proof of Claim and initial review of same; update the claims tracking chart and the service list for Federal Rule of Bankruptcy Procedure 2002 notices regarding same. 01/16/13 Review ECF email and obtain the Notice of Withdrawal of Claim No. 118 filed by the Los Angeles County Metropolitan Transportation Authority and Claim No. 119 filed by the Amended and Restated Kamran and Atoosa Benji 1993 Trust; brief review of same and update electronic case file. 01/16/13 Overview of chart received from U. Raanan re additional disputed and objectionable claims and determine manner in which to proceed. 01/17/13 Continue to update chart of secured claims for objections and analyze basis of claim in preparation for motion to object to secured claims (corporate debts with no personal guarantee by debtor). 01/17/13 Continue drafting First Omnibus Motion Objection as to Claim No. 24. 01/17/13 Draft First Omnibus Motion Objection as to facts and basis for objections to Claim Nos. 7 and 10. 01/18/13 Emails to U. Raanan re draft letters to claimants requesting additional documentation. 01/21/13 Review and analysis of claim filed by O. Razi (#58) and draft correspondence to O. Razi re documentation needed and proof of security interest in Debtor's assets. 01/21/13 Review and analysis of claim filed by Virgil Avenue Properties, LLC (#201); identify documentation needed in support of claim and draft Atty ELL

September 26, 2013 Invoice 70324 Page 6


Hours 2.50 Amount 487.50

LMS MRD RMK RMK MC

0.60 0.10 0.70 0.10 1.90

315.00 37.50 210.00 30.00 427.50

ELL

0.10

19.50

ELL

0.20

39.00

ELL MC MC MC RMK ELL ELL

0.20 0.90 0.60 1.10 0.10 0.40 0.40

39.00 202.50 135.00 247.50 30.00 78.00 78.00

Exhibit 2, Page 6

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description correspondence to B. Baradaran re proof of security interest in Debtor's assets. Review and analysis of claim filed by Haroon Moosai (Moosai Trust) (#78) and draft correspondence to G. Salvato re documentation needed to support a security interest in Debtor's assets. Review and analysis of claim filed by Inland Mortgage Capital (#55) and draft correspondence to K. Newman re documentation needed in support of claim and the calculation of interest, default interest and late charges. Review and analysis of claim filed by The John and Katrin Separzadeh Revocable Trust (#126) and draft correspondence to S. Montgomery re documentation needed to support of security interest in Debtor's assets. Review and analysis of claim filed by The Jacob & Soraya Separzadeh Trust (#127) and draft correspondence to S. Montgomery re documentation needed to support of security interest in Debtor's assets. Review and analysis of claim filed by The Mouris Separzadeh Trust (#128) and draft correspondence to S. Montgomery re documentation needed to support of security interest in Debtor's assets. Draft R. Todd Nielson's declaration in support of first omnibus objection to secured claims. Begin drafting background section on second omnibus objection to secured claims. Review and revise argument section of first omnibus objection to secured claims. Atty

September 26, 2013 Invoice 70324 Page 7


Hours Amount

01/21/13 01/21/13 01/21/13 01/21/13 01/21/13 01/21/13 01/21/13 01/22/13

ELL ELL ELL ELL ELL MC MC RMK RMK RMK RMK RMK RMK ELL

0.40 0.40 0.40 0.40 0.40 0.60 1.10 0.40 0.20 0.10 0.10 0.10 0.10 0.90

78.00 78.00 78.00 78.00 78.00 135.00 247.50 120.00 60.00 30.00 30.00 30.00 30.00 175.50

01/22/13 Review and finalize correspondence to S. Montgomery re Separzadeh Revocable Trusts' proof of claims. 01/22/13 Review and finalize correspondence to O. Razi re his secured proof of claim. 01/22/13 Review and finalize correspondence to B. Baradaran re Virgil Avenue Properties' secured proof of claim. 01/22/13 Review and finalize correspondence to G. Salvato re H. Moossai's secured proof of claim. 01/22/13 Review and finalize correspondence to K. Newman re Inland Mortgage Capital's secured proof of claim. 01/22/13 Revise and prepare for final the correspondence to O. Razi (#58), B. Baradaran (#201 by Virgil Avenue Properties, LLC), G. Salvato (#78 by Haroon Moosai - Moosai Trust), K. Newman (#55 by Inland Mortgage Capital), S. Montgomery (#126 by The John and Katrin Separzadeh Revocable Trust), S. Montgomery (#127 by The Jacob & Soraya Separzadeh Trust), and S. Montgomery (#128 by The Mouris Separzadeh Trust). 01/22/13 Review and analysis of claim filed by Sorea Soofer (#30) and draft correspondence to S. Soofer re documentation needed in support of claim. 01/22/13 Review and analysis of claim filed by 87th Peoria, LLC (#39) and draft

ELL ELL

0.40 0.40

78.00 78.00

Exhibit 2, Page 7

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description correspondence to E. Afaghi re 1031 Exchange against Namco and documentation needed to support a claim against the Debtor. Review and analysis of claim filed by Holly Getlin, Gordon Karsin and Ronald Karsin (#49) and draft correspondence to B. King re documentation and evidence needed in support of claim. Review and analysis of claim filed by Holly Getlin, as Trustee of the Irene Karsin Family Trust (#50) and draft correspondence to B. King re documentation and evidence needed in support of claim. Review and analysis of claim filed by Emanuel Aframian (#52) and draft correspondence to N. Tabibi re documentation and evidence needed in support of claim. Review and analysis of claim filed by Kayvan Aframian (#53) and draft correspondence to N. Tabibi re documentation and evidence needed in support of claim. Review and analysis of claim filed by Behrouz Aframian and Jaclin Aframian, as Trustees of the Aframian Family Trust UTD dated July 1, 1999 (#54) and draft correspondence to N. Tabibi re documentation and evidence needed in support of claim. Review and analysis of claim filed by Maryam Pirian, Manoucher Pirian, Mehrdad Naim, Joseph Pirian and Nahal Pirian (#80) and draft correspondence to G. Salvato re documentation needed in support of claim which was guaranteed by the Debtor. Review and analysis of claim filed by Joseph Pirian (#81) and draft correspondence to G. Salvato re documentation needed in support of claim which was guaranteed by the Debtor. Review and analysis of claim filed by Nahal Pirian (#82) and draft correspondence to G. Salvato re documentation needed in support of claim which was guaranteed by the Debtor. Investigate status of motion to disallow certain secured claims. Review and revise correspondence to G. Salvato re additional documentation needed for N. Pirian's proof of claim. Review and revise correspondence to G. Salvato re additional documentation needed for J. Pirian's proof of claim. Review and revise correspondence to N. Tabibi re additional documentation needed for Aframian Family Trust's proof of claim. Review and revise correspondence to N. Tabibi re additional documentation needed for K. Aframian's proof of claim. Review and revise correspondence to N. Tabibi re additional documentation needed for E. Aframian's proof of claim. Review and revise correspondence to G. Salvato re additional documentation needed for Maryam Pirian, Manoucher Pirian, Mehrdad Naim, Joseph Pirian and Nahal Pirian's proof of claim. Review and revise correspondence to S. Soofer re additional Atty

September 26, 2013 Invoice 70324 Page 8


Hours Amount

01/22/13 01/22/13 01/22/13 01/22/13 01/22/13

ELL ELL ELL ELL ELL

0.40 0.40 0.40 0.40 0.40

78.00 78.00 78.00 78.00 78.00

01/22/13

ELL

0.40

78.00

01/22/13 01/22/13 01/22/13 01/23/13 01/23/13 01/23/13 01/23/13 01/23/13 01/23/13 01/23/13

ELL ELL MRD RMK RMK RMK RMK RMK RMK RMK

0.40 0.40 0.10 0.20 0.20 0.20 0.20 0.20 0.20 0.20

78.00 78.00 37.50 60.00 60.00 60.00 60.00 60.00 60.00 60.00

Exhibit 2, Page 8

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 01/23/13 01/23/13 01/23/13 01/23/13 01/23/13 01/23/13 01/23/13 Description documentation needed for her proof of claim. Review and revise correspondence to E. Afaghi at 87th Peoria, LLC re additional documentation needed for its proof of claim. Review and revise correspondence to B. King re additional documentation needed for H. Getline, Gordon Karsin and Ronald Karsin's proof of claim. Review and revise correspondence to B. King re additional documentation needed for the Irene Karsin Family Trust's proof of claim. Review and analyze Sunnylane Partners, LLC's proof of claim and related adversary proceeding against the Debtor. Draft communication to U. Ranaan re Sunnylane Partners, LLC's proof of claim and related adversary proceeding against the Debtor. Review and reply to email from U. Rannan re Sunnylane Partners, LLC's stipulated judgment with the debtor and how to handle their proof of claim. Revise and prepare for final the correspondence to Sorea Soofer (#30), E. Afaghi (#39 by 87th Peoria, LLC), B. King (#49 by Holly Getlin, Gordon Karsin and Ronald Karsin), B. King (#50 by Holly Getlin, as Trustee of the Irene Karsin Family Trust #50), N. Tabibi (#52 by Emanuel Aframian), N. Tabibi (#53 by Kayvan Aframian), N. Tabibi (#54 by Behrouz Aframian and Jaclin Aframian, as Trustees of the Aframian Family Trust UTD dated July 1, 1999), G. Salvato (#80 by Maryam Pirian, Manoucher Pirian, Mehrdad Naim, Joseph Pirian and Nahal Pirian), G. Salvato (#81 by Joseph Pirian) and G. Salvato (#82 by Nahal Pirian). Review Proof of Claim filed by Sunnylane Partners, LLC and investigate outcome of adversary action filed by Sunnylane Partners, LLC against the Debtor; obtain copy of Judgment and prepare memo to R. Kido re same. Review and analysis of claim filed by Maryam Selki (#92) and draft correspondence to D. Selki re promissory note needed related to transaction set forth in Guarantee Agreement signed by the Debtor. Review and analysis of claim filed by Sam Selki (#93) and draft correspondence to D. Selki re promissory note needed related to transaction set forth in Guarantee Agreement signed by the Debtor. Review and analysis of claim filed by David Selki (#94) and draft correspondence to D. Selki re promissory note needed related to transaction set forth in Guarantee Agreement signed by the Debtor. Review and analysis of claim filed by Saeed Cohen (#107) and draft correspondence to H. Mark Mersel re documentation in support of claim against the Debtor. Review and analysis of claim filed by Boyle Avenue LLC (#140) and draft correspondence to S. Montgomery re documentation needed in support of a fraud claim against the Debtor. Atty RMK RMK RMK RMK RMK RMK ELL

September 26, 2013 Invoice 70324 Page 9


Hours 0.20 0.20 0.20 0.40 0.20 0.20 1.00 Amount 60.00 60.00 60.00 120.00 60.00 60.00 195.00

01/23/13

ELL

0.30

58.50

01/23/13 01/23/13 01/23/13 01/23/13 01/23/13

ELL ELL ELL ELL ELL

0.40 0.40 0.40 0.40 0.40

78.00 78.00 78.00 78.00 78.00

Exhibit 2, Page 9

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 01/23/13 Review and analysis of claim filed by Robhana, Inc. and draft correspondence to J. Kries and R. Hanasab re documentation in support of claim against the Debtor. 01/23/13 Review and analysis of claim filed by 26 Etehad, LLC (#151) and draft correspondence to R. Stonerock re documentation needed in support of a fraud claim against the Debtor. 01/23/13 Review and analysis of claim filed by M&Y Management, Inc. (#147); access Pacer and confirm only face page of claim filed and confirm amount; draft correspondence to J. Kries re issues related to docketing of claim and documentation in support of a claim against the Debtor. 01/23/13 Review and analysis of claim filed by Ramin Gabayan (#157) and draft correspondence to R. Gabayan re documentation needed in support of claim against the Debtor. 01/23/13 Review and analysis of claim filed by Sion Khadavi (#173) and draft correspondence to S. Khadavi re documentation needed in support of claim against the Debtor. 01/23/13 Review and analysis of claim filed by Brenden Broumand (#161) and draft correspondence to B. Broumand re documentation needed in support of claim against the Debtor. 01/23/13 Review and analysis of claim filed by Berrokhim Family Trust (#165) and draft correspondence to B. Berrokhim re documentation needed in support of claim against the Debtor. 01/23/13 Review and analysis of claim filed by Puritan International Inc. (#164) and draft correspondence to Chief Financial Officer re documentation needed in support of claim against the Debtor. 01/23/13 Review and analyze supporting documentary evidence attached to claims No. 117, 126, and 127 in preparation of drafting objection to claims; identify deficiency of claim and formulate argument and basis for objection. 01/23/13 Continue drafting second omnibus objection to secured claims No. 117, 126, and 127. 01/24/13 Review and revise correspondence to D. Selki re additional documentation needed for the analysis of M. Selki's proof of claim (POC 92). 01/24/13 Review and revise correspondence to D. Selki re additional documentation needed for the analysis of S. Selki's proof of claim (POC 93). 01/24/13 Review and revise correspondence to D. Selki re additional documentation needed for the analysis of D. Selki's proof of claim (POC 94). 01/24/13 Review and revise correspondence to H. Mersel re additional documentation needed for the analysis of S. Cohen's proof of claim (POC 107). Atty ELL ELL ELL

September 26, 2013 Invoice 70324 Page 10


Hours 0.40 0.40 0.40 Amount 78.00 78.00 78.00

ELL ELL ELL ELL ELL MC

0.40 0.40 0.40 0.40 0.40 2.20

78.00 78.00 78.00 78.00 78.00 495.00

MC RMK RMK RMK RMK

2.80 0.20 0.20 0.20 0.20

630.00 60.00 60.00 60.00 60.00

Exhibit 2, Page 10

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 01/24/13 Review and revise correspondence to S. Montgomery re additional documentation needed for the analysis of Boyle Avenue LLC's proof of claim (POC 140). 01/24/13 Review and revise correspondence to J. Kries and R. Hanasab re additional documentation needed for the analysis of Robhana, Inc.'s proof of claim (POC 145). 01/24/13 Review and revise correspondence to J. Kries re additional documentation needed for M&Y Management Inc.'s proof of claim (POC 147). 01/24/13 Review and revise correspondence to R. Stonerock re additional documentation needed for the analysis of 26 Etehad, LLC's proof of claim (POC 151). 01/24/13 Review and revise correspondence to R. Gabayan re additional documentation needed for the analysis of his proof of claim (POC 157). 01/24/13 Review and revise correspondence to B. Broumand re additional documentation needed for the analysis of his proof of claim (POC 161). 01/24/13 Review and revise correspondence to Puritan International, Inc. re additional documentation needed for the analysis of its proof of claim (POC 164). 01/24/13 Review and revise correspondence to B. Berookhim re additional documentation needed for the analysis of the Berookhim Family Trust's proof of claim (POC 165). 01/24/13 Review and revise correspondence to M. Torbati re additional documentation needed for the analysis of her proof of claim (POC 166). 01/24/13 Review and revise correspondence to B. Nahai re additional documentation needed for the analysis of B. Nahai's proof of claim (POC 171). 01/24/13 Review and revise correspondence to S. Khadavi re additional documentation needed for the analysis of his proof of claim (POC 173). 01/24/13 Review and revise correspondence to E. Negari re additional documentation needed for the analysis of the MMN Family Trust's proof of claim (POC 189). 01/24/13 Review and revise correspondence to S. Tabibian re additional documentation needed for the analysis of Princeton Holdings, LLC's proof of claim (POC 197). 01/24/13 Review and revise correspondence to B. Nahai re additional documentation needed for the analysis of T. Nahai's proof of claim (POC 170). 01/24/13 Review and analysis of claim filed by Melody Torbati and draft correspondence to M. Torbati re documentation needed in support of claim against the Debtor. 01/24/13 Review and analysis of claim filed by The MMN Family Trust (#189) and draft correspondence to E. Negari re documentation needed in support of Atty RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK ELL ELL

September 26, 2013 Invoice 70324 Page 11


Hours 0.20 0.20 0.20 0.20 0.20 0.20 0.20 0.20 0.20 0.20 0.20 0.20 0.20 0.20 0.40 0.40 Amount 60.00 60.00 60.00 60.00 60.00 60.00 60.00 60.00 60.00 60.00 60.00 60.00 60.00 60.00 78.00 78.00

Exhibit 2, Page 11

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 01/24/13 01/24/13 01/24/13 01/24/13 Description claim against the Debtor. Review and analysis of claim filed by Princeton Holdings, LLC (#197) and draft correspondence to S. Tabibian re documentation needed in support of claim against the Debtor. Review and analysis of claim filed by Tara Nahai (#170) and draft correspondence to B. Nahai re documentation needed in support of claim against the Debtor. Review and analysis of claim filed by Angela Nahai (#171) and draft correspondence to B. Nahai re documentation needed in support of claim against the Debtor. Revise and prepare for final the correspondence to R. Stonerock (#151 by 26 Etehad, LLC), B. Berrokhim (#165 by Berrokhim Family Trust), S. Montgomery (#140 by Boyle Avenue LLC), B. Broumand (#161 by B. Broumand), H. Mark Mersel (#107 by Saeed Cohen), R. Gabayan (#157), S. Khadavi (#173), J. Kries (#147 by M&Y Management, Inc.), B. Nahai (#170 by Tara Nahai), B. Nahai (#171 by Angela Nahai), S. Tabibian (#197 by Princeton Holdings, LLC), CFO of Puritan International, Inc. (#164), J. Kries and R. Hanasab (#145 by Robhana, Inc.), D. Selki (#92 by Maryam Selki), D. Selki (#93 by Sam Selki), D. Selki (#94), E. Negari (#189 by The MMN Family Trust) and M. Torbati (#166). Review and analyze supporting documentation to secured claims as against Claim No. 135. Review and analyze supporting documentation to secured claims as against Claim No. 127. Continue drafting second omnibus objection to secured claims as against Claims No. 127, 128 and 135. Review and analyze supporting documentation to secured claims as against Claim No. 128. Review and reply to email from S. Montgomery re Separzadeh claims. Review and analyze issues and documents re resolving Starpoint and related entity claims; prepare instructions for evaluation. Atty ELL ELL ELL ELL

September 26, 2013 Invoice 70324 Page 12


Hours 0.40 0.40 0.40 1.30 Amount 78.00 78.00 78.00 253.50

01/24/13 01/24/13 01/24/13 01/24/13 01/25/13 01/25/13

MC MC MC MC RMK LMS RMK MC MC MC MC

0.30 0.60 1.60 0.40 0.10 0.40 0.10 0.20 0.70 0.40 0.70

67.50 135.00 360.00 90.00 30.00 210.00 30.00 45.00 157.50 90.00 157.50

01/25/13 Review and analyze email from D. Meadows re Virgil Avenue Properties LLC claim. 01/25/13 Review and analyze response from counsel re request for documents re Claims No. 126, 127 and 128; revise and analyze second omnibus motion as to objections to these claims. 01/25/13 Draft declaration of R. Todd Nielson in support of First Omnibus Objection to Secured Claims. 01/25/13 Draft declaration of R. Todd Nielson in support of Second Omnibus Objection to Secured Claims. 01/25/13 Draft background section and argument analysis of Second Omnibus Objection to Secured Claims as to Claim No. 135 as improperly asserted

Exhibit 2, Page 12

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 01/25/13 01/25/13 01/25/13 01/25/13 01/25/13 01/25/13 01/27/13 01/27/13 01/28/13 01/28/13 01/28/13 01/28/13 01/28/13 01/28/13 01/28/13 01/28/13 Description against debtor. Analysis of issues related to potential objections to claims filed by the Separzadehs and their trusts and advise M. Cho re same. Review and analyze supporting documentation to Claim No. 135 in preparation for drafting objection to claim. Review and analyze supporting documentation as to Claim No. 144 in preparation for drafting claim objection re same. Draft background section and argument analysis as to Claims No. 136 and 137 as improperly asserted against the debtor in Second Omnibus Objection to Claims. Review and analyze supporting documentation to Claims No. 136 and 137 in preparation for drafting claim objection re same. Begin drafting Third Omnibus Objection to secured claims as to claims No. 144, 152, 158, 163, 197, and 23. Continue drafting third omnibus motion objecting to claims as to claim no. 163. Continue drafting third omnibus motion objecting to claims as to claim no. 158. Draft communication to U. Raanan re response from D. Meadows re Virgil Avenue Properties' proof of claim. Telephone call to S. Montgomery re Separzadeh claims and additional documentation needed in the Boyle Avenue claim. Telephone call to G. Salvato re additional information/documentation needed in the Separzadehs' claims. Review and reply to email from U. Raanan re response from D. Meadows re Virgil Avenue Properties' proof of claim. Review and reply to email from D. Meadows re Virgil Avenue Properties' proof of claim. Further instructions on resolving Virgil claim. Review and revise trustee's first omnibus motion objection as to claim no. 34. Review and revise trustee's first omnibus motion objection as to claim no. 35. Atty ELL MC MC MC MC MC MC MC RMK RMK RMK RMK RMK LMS MC MC MC MC MC MC MC

September 26, 2013 Invoice 70324 Page 13


Hours 0.10 0.70 0.70 0.90 0.30 1.30 0.40 0.40 0.10 0.10 0.10 0.10 0.20 0.40 0.30 0.30 0.30 0.40 0.30 0.20 0.40 Amount 19.50 157.50 157.50 202.50 67.50 292.50 90.00 90.00 30.00 30.00 30.00 30.00 60.00 210.00 67.50 67.50 67.50 90.00 67.50 45.00 90.00

01/28/13 Review and revise trustee's first omnibus motion objection as to claim no. 36. 01/28/13 Review and revise trustee's first omnibus motion objection as to claim no. 95. 01/28/13 Review and revise trustee's declaration in support of his first omnibus motion objection as to claim no. 7, 10, 24, 34, 35, 36, 95, 96, 98. 01/28/13 Email correspondence with R. T. Neilson re priority objections. 01/28/13 Review and revise trustee's first omnibus motion objection as to claim no.

Exhibit 2, Page 13

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 7. 01/28/13 Review and revise trustee's first omnibus motion objection as to claim no. 10. 01/28/13 Review and revise trustee's first omnibus motion objection as to claim no. 24. 01/28/13 Review and revise trustee's first omnibus motion objection as to claim no. 96. 01/28/13 Review and revise trustee's first omnibus motion objection as to claim no. 98. 01/28/13 Review and analyze claims register in docket for claim objection. 01/29/13 Review and reply to email from M. Pirian re documents in support of her claim against the estate. 01/29/13 Review and analyze issues re additional documents requested for evaluation of Robhana, Inc.'s proof of claim. 01/29/13 Review and analyze issues re additional documents requested for evaluation of M&Y Management's proof of claim. 01/29/13 Review and revise priority claims objection as to claims no. 27 and 63. 01/29/13 Email correspondences with R. T. Neilson re priority claims objection. 01/29/13 Brief review of documentation provided by M. Pirian in support of alleged claim against the Debtor. 01/30/13 Review and revise Trustee's Second Omnibus Claim Objection Motion as to claims no. 117, 136, 137. 01/31/13 Review and analyze Robhana proof of claim (145) in preparation for telephone call with J. Kries. 01/31/13 Review and analyze M&Y Management proof of claim (147) in preparation for telephone call with J. Kries. 01/31/13 Telephone call to J. Kries re supporting documents needed in support of Robhana proof of claim (145) and M&Y Management proof of claim (147). 01/31/13 Telephone call from J. Kries re supporting documents needed in support of Robhana proof of claim (145) and M&Y Management proof of claim (147). 01/31/13 Review and analyze The John and Katrin Separzadeh Revocable Trust's proof of claim (126) in preparation for telephone call with G. Salvato. 01/31/13 Review and analyze The Jacob Separzadeh and Soraya Separzadeh Trust's proof of claim (127) in preparation for telephone call with G. Salvato. 01/31/13 Review and analyze The Mouris and Diana Separzadeh Trust's proof of claim (128) in preparation for telephone call with G. Salvato. 01/31/13 Review and analyze M. Pirian, et al. proof of claim (80) in preparation for telephone call with G. Salvato. Atty MC MC MC MC MC RMK RMK RMK MC MC ELL MC RMK RMK RMK RMK RMK RMK RMK RMK

September 26, 2013 Invoice 70324 Page 14


Hours 0.40 0.30 0.40 0.30 0.40 0.40 0.20 0.20 0.20 0.20 0.10 1.20 0.20 0.10 0.10 0.10 0.20 0.20 0.20 0.10 Amount 90.00 67.50 90.00 67.50 90.00 120.00 60.00 60.00 45.00 45.00 19.50 270.00 60.00 30.00 30.00 30.00 60.00 60.00 60.00 30.00

Exhibit 2, Page 14

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 01/31/13 Review and analyze Joseph Pirian proof of claim (81) in preparation for telephone call with G. Salvato. 01/31/13 Review and analyze Nahal Pirian proof of claim (82) in preparation for telephone call with G. Salvato. 01/31/13 Review and analyze H. Moossai proof of claim (78) in preparation for telephone call with G. Salvato. 01/31/13 Telephone call to G. Salvato re Separzadeh claims (126, 127, 128), Pirian claims (80, 81, 82) and Moossai claim (78). 01/31/13 Draft communication to J. Kries re supporting documents needed in support of Robhana proof of claim (145) and M&Y Management proof of claim (147). 01/31/13 Review and analyze Maryam Selki proof of claim (92) in preparation for telephone call with D. Selki. 01/31/13 Review and analyze Sam Selki proof of claim (93) in preparation for telephone call with D. Selki. 01/31/13 Review and analyze David Selki proof of claim (94) in preparation for telephone call with D. Selki. 01/31/13 Telephone call to R. Hanasab re Robhana claim (145) and M&Y claim (147) and supporting documents/additional information needed for both. 01/31/13 Telephone call to D. Selki re M. Selki claim (92), D. Selki claim (93), S. Selki claim (94) and supporting documentation needed re same. 01/31/13 Review and analyze issues re effect of settlement of Selki claims in Namco on Namvar claims of D. Selki, M. Selki and S. Selki. 01/31/13 Review and analyze facsimile from I. Brookim re documents in support of Puritan International, Inc.'s proof of claim (164). 01/31/13 Review and analyze facsimile from B. Berookhim re the Berookhim Family Trust proof of claim (165) and supporting documents requested re same. 01/31/13 Review and analyze settlement motion filed in Namco case for the settlement of the Selki claims. 01/31/13 Review and analyze email from R. Hanasab re Robhana and M&Y Management claims filed in this case and the Namco case. 01/31/13 Review and analyze issues re claims needing additional documents to support claimed amount and/or claim against the debtor. 01/31/13 Continue drafting third omnibus motion objecting to claims as to claim no. 231. 01/31/13 Draft argument section of third omnibus motion objection to claims and supporting declaration of R. T. Neilson. 01/31/13 Brief review of documentation provided by Berookhim Family Trust in support of his alleged claim against the Debtor. 01/31/13 Brief review of documentation provided by Puritan International in support of alleged claim against the Debtor. Atty RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK MC MC ELL ELL

September 26, 2013 Invoice 70324 Page 15


Hours 0.10 0.10 0.10 0.10 0.40 0.20 0.10 0.10 0.30 0.10 0.30 0.20 0.30 0.40 0.60 0.60 0.40 0.40 0.10 0.10 Amount 30.00 30.00 30.00 30.00 120.00 60.00 30.00 30.00 90.00 30.00 90.00 60.00 90.00 120.00 180.00 180.00 90.00 90.00 19.50 19.50

Exhibit 2, Page 15

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 01/31/13 Review and analyze proof of claim no. 158 in preparation for drafting claim objection. 01/31/13 Review and analyze proof of claim no. 152 in preparation for drafting claim objection. 01/31/13 Continue drafting third omnibus motion objecting to claims as to claim no. 197. 01/31/13 Review and approve for filing new set of objs to claims. 01/31/13 Provide instructions to R. Kido re further information on certain claims. 01/31/13 Review and analyze proof of claim no. 163 in preparation for drafting claim objection. 01/31/13 Review and analyze proof of claim no. 231 in preparation for drafting claim objection. 01/31/13 Telephone conference with M. Cohen re status of case. 01/31/13 Continue drafting third omnibus motion objecting to claims as to claim no. 152. 01/31/13 Continue drafting third omnibus motion objecting to claim 144. 02/01/13 Draft correspondence to B. Berookhim re facsimile received and additional documents needed in support of claim against the debtor. 02/01/13 Telephone call from I. Brookim re Berookhim Family Trust's proof of claim (165) and Puritan International, Inc.'s proof of claim (164) and request for supporting documents re same. 02/01/13 Review and analyze issues re omnibus objections to claims which are not the obligation of the debtor. 02/01/13 Finalize first, second, and third omnibus claim objections based on notes by Namco, not guaranteed by debtor. 02/01/13 Review and analyze responses of creditors to requests for additional documents. 02/01/13 Prepare email to U. Raanan and T. Neilson re correspondence sent to claimants requesting documents in support of claims against the Debtor. 02/01/13 Review and analysis of claim filed by Gardner Family Trust Dated 1984 (#221) and draft correspondence to A. Gardner re documentation needed in support of claim. 02/01/13 Review and analysis of claim filed by David Haghani (#232) and draft correspondence to D. Haghani re documentation needed in support of claim. 02/01/13 Review and analysis of claim filed by Crawford Living Trust Dated September 23, 1983 (#187) and draft correspondence to S. Fainsbert re documentation needed in support of claim. 02/01/13 Review and analysis of claim filed by Fred Behfarin (#206) and draft correspondence to F. Behfarin re documentation needed in support of claim. 02/01/13 Analysis of issues related to claim #172 filed by Nahid Nazarian MD that Atty MC MC MC LMS MRD MC MC MRD MC MC RMK RMK RMK MC MRD ELL ELL ELL ELL ELL ELL

September 26, 2013 Invoice 70324 Page 16


Hours 0.10 0.10 0.30 0.30 0.20 0.10 0.30 0.10 0.40 1.60 0.40 0.30 0.40 0.60 0.10 0.10 0.40 0.40 0.40 0.40 0.10 Amount 22.50 22.50 67.50 157.50 75.00 22.50 67.50 37.50 90.00 360.00 120.00 90.00 120.00 135.00 37.50 19.50 78.00 78.00 78.00 78.00 19.50

Exhibit 2, Page 16

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 02/01/13 02/01/13 02/04/13 02/04/13 02/04/13 02/04/13 02/04/13 02/04/13 02/04/13 02/04/13 02/04/13 02/04/13 02/04/13 02/04/13 02/04/13 02/05/13 02/05/13 02/05/13 02/05/13 Description was filed in the wrong case. Review and analysis of claim filed by SRF Investment LLC (#116) and draft correspondence to S. Montgomery re documentation needed in support of claim. Review and analysis of claim filed by Ernesto and Socorro Vasquez Claim (#178) and draft correspondence to S. Fainsbert re documentation needed in support of claim. Review and revise first omnibus objection to claims on the grounds that the objected claims are not an obligation of the debtor. Review and revise second omnibus objection to claims on the grounds that the objected claims are not an obligation of the debtor. Review and revise third omnibus objection to claims on the grounds that the objected claims are not an obligation of the debtor. Review and analyze issues re objections to claims which no not assert an obligation of the debtor. Review and analyze issues re additional letters needed for SC claims. Review and analyze supporting documentation to Claim No. 135 in preparation for drafting claim objection. Draft factual background and legal argument for objection to claim no. 135. Analysis of issues related to claims administration and objections to various claims. Review and finalize omnibus claim objection as to claim nos: 144, 152, 158, 163 and supporting declaration. Review and finalize omnibus claim objection as to claim nos 117, 135, 136, 137, and supporting declaration. Review and finalize omnibus claim objection as to claim nos 197 and 231 and supporting declaration. Review and finalize Trustee's Omnibus objection to claim no 7, 10. Review and finalize Trustee's Omnibus objection to claim no 24, 34, 35, 36, 95, 96, 98 and supporting declaration. Review and revise correspondence to F. Behfarin re additional documentation needed for the analysis of his proof of claim (POC 206). Review and revise correspondence to S. Fainsbert re additional documentation needed for the analysis of The Crawford Living Trust proof of claim (POC 187). Review and revise correspondence to A. Gardner re additional documentation needed for the analysis of Gardner Family Trust's proof of claim (POC 221). Review and revise correspondence to S. Montgomery re additional documentation needed for the analysis of SRF Investment's proof of claim (POC 116). Atty ELL ELL RMK RMK RMK RMK RMK MC MC ELL MC MC MC MC MC RMK RMK RMK RMK

September 26, 2013 Invoice 70324 Page 17


Hours 0.40 0.40 0.70 0.40 0.40 0.40 0.40 0.60 0.80 0.20 1.30 1.20 0.40 0.20 1.20 0.20 0.20 0.20 0.20 Amount 78.00 78.00 210.00 120.00 120.00 120.00 120.00 135.00 180.00 39.00 292.50 270.00 90.00 45.00 270.00 60.00 60.00 60.00 60.00

Exhibit 2, Page 17

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 02/05/13 Review and revise correspondence to S. Fainsbert re additional documentation needed for the analysis of E. Vasquez's and S. Vasquez's proof of claim (POC 178). 02/05/13 Telephone call from S. Montgomery re Boyle Avenue's claim and requested supporting documents. 02/05/13 Draft communication to S. Montgomery re Boyle Avenue's claim and requested supporting documents. 02/05/13 Review and analyze issues re claims missing supporting documents; update claim analysis chart re same. 02/05/13 Review and analyze issues re secured claims documents which may have valid objections; update claim analysis chart re same. 02/05/13 Review and analyze issues re objections to late filed claims; update claim analysis chart re same. 02/05/13 Review and analyze issues re objections to priority claims; update claim analysis chart re same. 02/05/13 Review and analyze issues re objections to duplicate claims; update claim analysis chart re same. 02/05/13 Review and analyze correspondence from G. Salvato re M. Pirian, J. Pirian and N. Pirian's proof of claims. 02/05/13 Review and analyze joint settlement agreement filed in Namco and Namvar cases re treatment of the Pirian Parties' claims in the Namvar matter. 02/05/13 Review and analyze communication from S. Montgomery re Boyle Avenue's proof of claim. 02/05/13 Draft communication to U. Raanan re Pirian claims and effect of Namco/Namvar settlement agreement. 02/05/13 Review and reply to multiple emails from U. Raanan re withdrawal of Pirian claims. 02/05/13 Review and analyze correspondence from R. Gabayan re additional documents requested. 02/05/13 Draft correspondence to J. Separzedah re Separzedah claims and additional documents needed. 02/05/13 Review and analyze R. Gabayan proof of claim (157) in preparation for telephone call with R. Gabayan. 02/05/13 Review and analyze email from S. Montgomery re Boyle Avenue's claim and requested supporting documents. 02/05/13 Review and analyze issues re appropriateness of Robhana Claim (145). 02/05/13 Analysis of issues related to claims that require a request for documentation in further support. 02/05/13 Revise and prepare for final the correspondence to S. Montgomery (#116 by SRF Investment LLC), S. Fainsbert (#178 by E. and S. Vasquez), A. Gardner (#221 by Gardner Family Trust), S. Fainsbert (#187 by The Atty RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK ELL ELL

September 26, 2013 Invoice 70324 Page 18


Hours 0.20 0.10 0.20 1.40 0.90 0.40 0.30 0.70 0.10 0.50 0.20 0.20 0.20 0.20 0.40 0.10 0.20 0.30 0.10 0.60 Amount 60.00 30.00 60.00 420.00 270.00 120.00 90.00 210.00 30.00 150.00 60.00 60.00 60.00 60.00 120.00 30.00 60.00 90.00 19.50 117.00

Exhibit 2, Page 18

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 02/05/13 02/06/13 02/06/13 02/06/13 02/06/13 02/06/13 02/06/13 02/06/13 02/06/13 02/06/13 02/06/13 02/07/13 02/07/13 02/07/13 02/07/13 02/08/13 02/08/13 02/08/13 02/08/13 02/08/13 02/08/13 02/08/13 02/08/13 Description Crawford Living Trust) and F. Behfarin (#206). Review and analyze multiple correspondence re status of obtaining supplemental documents from creditors. Review and reply to email from S. Montgomery re SRF Investment LLC. Review and reply to email from S. Montgomery re SRF Investment's claim against the estate and additional documents requested. Review and analyze correspondence from K. Newman re assignment of Inland Mortgage Capital Corporation's proof of claim. Review and analyze status of claims work; prepare comments and directions. Draft correspondence to F. Jevahery re SRF Investments proof of claim and additional documents needed. Review and analyze issues re Sunnylane Partners claim and effect of adversary proceeding; update claims analysis chart re same. Review and analyze correspondence from E. Negari re supporting documents re the MMN Family Trust's proof of claim. Review and analyze multiple correspondence re status of objections to claims. Review, revise and finalize draft first, second and third omnibus claim objections. Telephone conference with J. Goodfried re status of case. Telephone call from K. Berokim re proof of claim of E. Aframian (52) and supporting documents re same. Review and reply to email from K. Berokim re proof of claim of E. Aframian (52) and supporting documents re same. Review and analyze documents provided by K. Berokim re proof of claim of E. Aframian (52). Review and revise three new sets of objections to claims. Review and reply to email from J. Shih re B. Aframian's proof of claim. Review and reply to email from J. Shih re K. Aframian's proof of claim. Review and analyze documents provided by N. Tabibi re proof of claim of K. Aframian (53); update case analysis chart re same. Telephone call to B. Beroukim re additional documents requested in support of the Gardner Family Trust proof of claim (221). Draft email to B. King re extension for time to provide documents requested in support of the Getlin proof of claims. Review and analyze Gardner Family Trust proof of claim (221) in preparation for telephone call with B. Beroukim. Telephone call from S. Soofer re additional documents requested in support of his proof of claim (30). Review of deadlines for providing supporting documents for insufficient Atty MRD RMK RMK RMK LMS RMK RMK RMK MRD MC MRD RMK RMK RMK LMS RMK RMK RMK RMK RMK RMK RMK RMK

September 26, 2013 Invoice 70324 Page 19


Hours 0.20 0.20 0.10 0.10 0.40 0.40 0.30 0.30 0.10 0.30 0.20 0.10 0.10 0.40 0.90 0.10 0.10 0.40 0.10 0.10 0.30 0.10 0.40 Amount 75.00 60.00 30.00 30.00 210.00 120.00 90.00 90.00 37.50 67.50 75.00 30.00 30.00 120.00 472.50 30.00 30.00 120.00 30.00 30.00 90.00 30.00 120.00

Exhibit 2, Page 19

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description claims and work on strategies for moving forward on objections to proofs of claims. Review and analyze documents provided by N. Tabibi re proof of claim of Aframian Family Trust (54); update case analysis chart re same. Analysis of chart of claims to determine remaining claims that need correspondence requesting additional documentation in support of claim; prepare memo to R. Kido re same. Review claim filed by Moses & Singer LLP (#200) and prepare correspondence to H. Bergman re documentation needed in support of a claim against the Debtor. Review claim filed by D. Morrow (#217) and analysis of issues related to settlement reached with respect to Secret Beach; review various pleadings related to approving compromise and disposition of claims against the Debtor; prepare memo to R. Kido re recommendations. Review the Debtor's case docket for any documents filed by Shaw Blackstone, LLC and identify adversary proceeding and motion for relief from stay; review for status of each in relation to background information for possible objection to claim. Draft correspondence to M. Tavakoli re complete copy of Personal Guarantee needed in support of claim filed by Shaw Blackstone, LLC (#100). Review and revise correspondence to H. Bergman re additional documentation needed for the analysis of Moses & Singer's proof of claim (POC 200). Review and revise correspondence to M. Torbati re additional documentation needed for the analysis of M&S Partnership's proof of claim (POC 235). Review and revise correspondence to M. Tavakoli re additional documentation needed for the analysis of Shaw Blackstone, LLC's proof of claim (POC 100). Review and analyze settlement motion with secret beach and its impact on the proof of claim filed by D. Morrow (POC 217). Review and analyze claims chart to confirm whether any additional letters need to be sent to claimants. Review claim filed by M&S Partnership (#235) and prepare correspondence to M. Torbati re documentation related to guaranteed obligation asserted against the Debtor. Revise and prepare for final the correspondence to M. Tavakoli (#100 by Shaw Blackstone, LLC), M. Torbati (#235 by M&S Partnership) and H. Bergman (#200 by Moses & Singer). Review and reply to email from B. King re status of documents requested in support of Getlin Claims. Review and analyze issues re status of documents requested in support of Atty

September 26, 2013 Invoice 70324 Page 20


Hours Amount

02/08/13 02/08/13 02/13/13 02/13/13

RMK ELL ELL ELL

0.40 0.30 0.30 0.90

120.00 58.50 58.50 175.50

02/13/13

ELL

0.50

97.50

02/13/13 02/14/13 02/14/13 02/14/13 02/14/13 02/14/13 02/14/13 02/14/13 02/18/13 02/18/13

ELL RMK RMK RMK RMK RMK ELL ELL RMK RMK

0.30 0.20 0.20 0.20 0.40 0.30 0.30 0.30 0.20 0.60

58.50 60.00 60.00 60.00 120.00 90.00 58.50 58.50 60.00 180.00

Exhibit 2, Page 20

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 02/19/13 02/19/13 02/19/13 02/19/13 02/19/13 02/19/13 02/19/13 02/19/13 Description claims lacking sufficient supporting documents. Telephone call from H. Soofer re S. Soofer proof of claim. Review and analyze email from H. Soofer re S. Soofer proof of claim. Draft communication to U. Ranaan re Soraya Soofer's proof of claim and supporting documents indicating claim is only against Namco. Review and analyze Soraya Soofer claim filed in the Namco bankruptcy for overlap with the Namvar claim. Conduct and review lexis public record search of S. Khadavi for updated address for S. Khadavi's proof of claim (173). Review and analyze issues re objections to claims missing supporting documents and determine plan of action re drafting objections to same. Telephone conference with J. Moradi re status of case and website updates. Review and analyze issues related to claims filed in Namvar case for claims against Namco. Atty RMK RMK RMK RMK RMK RMK MRD MRD RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK

September 26, 2013 Invoice 70324 Page 21


Hours 0.20 0.30 0.30 0.30 0.20 1.20 0.10 0.10 0.10 0.20 0.20 0.30 0.20 0.20 0.40 0.30 0.20 0.20 0.20 0.20 Amount 60.00 90.00 90.00 90.00 60.00 360.00 37.50 37.50 30.00 60.00 60.00 90.00 60.00 60.00 120.00 90.00 60.00 60.00 60.00 60.00

02/21/13 Telephone call to M. Torbati re her claim (166) and M&S Partnership claim (235) and supporting documents requested. 02/21/13 Review and analyze Torbati claim (166) in preparation for telephone call with M. Torbati. 02/21/13 Review and analyze M&S Partnership claim (235) in preparation for telephone call with M. Torbati. 02/21/13 Draft communication to H. Soofer re S. Soofer's proof of claim (30) and request withdrawal of said claim. 02/21/13 Review and analyze issues re additional documents needed in support of 87th Peoria's proof of claim (39) and confirm that no timely response was received. 02/21/13 Review and reply to communication from M. Torbati re her claim (166) and M&S Partnership claim (235) and supporting documents requested re same. 02/21/13 Draft correspondence to L. Drath re assignment of Inland Mortgage's claim (55) against Namvar. 02/21/13 Draft communication to U. Raanan re documents in support of claims indicating guarantees were executed days after the original note. 02/21/13 Review and reply to email of M. Ruszecki re Separzadeh claims. 02/21/13 Review and analyze issues re additional documents needed in support of H. Moosai's proof of claim (78) and confirm that no timely response was received. 02/21/13 Review and analyze issues re additional documents needed in support of S. Cohen's proof of claim (107) and confirm that no timely response was received. 02/21/13 Review and analyze issues re additional documents needed in support of 26 Etehad, LLC's proof of claim (39) and confirm that no timely response

Exhibit 2, Page 21

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 02/21/13 02/21/13 02/21/13 02/21/13 02/21/13 02/21/13 02/21/13 02/21/13 02/22/13 02/22/13 02/25/13 02/25/13 02/25/13 02/25/13 02/25/13 02/25/13 02/25/13 02/25/13 Description was received. Review and analyze issues re additional documents needed in support of B. Broumand's proof of claim (161) and confirm that no timely response was received. Review and analyze issues re additional documents needed in support of T. Nahai's proof of claim (170) and confirm that no timely response was received. Review and analyze issues re additional documents needed in support of A. Nahai's proof of claim (171) and confirm that no timely response was received. Review and analyze issues re additional documents needed in support of N. Nazarian's proof of claim (39) and confirm that no timely response was received. Review and analyze issues re additional documents needed in support of E. Vasquez's proof of claim (178) and confirm that no timely response was received. Review and analyze issues re additional documents needed in support of F. Behfarin's proof of claim (206) and confirm that no timely response was received. Review and revise final omnibus claims objections Review and analyze issues with claims in case with insufficient documentation. Review and revise correspondence to R. Herzog re additional supporting documents needed for Shaw Blackstone claim (100) Prepare correspondence to R. Herzog re Claim No. 100 filed by Shaw Blackstone, LLC and request for additional documentation. Review and analyze issues re omnibus objection to claims where no supporting documents provided as requested. Draft communication to B. Nahai re January 24, 2013 correspondence sent re T. Nahai (170) and A. Nahai (171) proof of claims. Review and reply to email from B. Nahai re proofs of claims of T. Nahai (170) and A. Nahai (171). Review and analyze promissory notes between A. Nahai and Namco provided to support proof of claim of A. Nahai (171). Draft communication to U. Ranaan re documentation provided in support of proofs of claims of T. Nahai (170) and A. Nahai (171). Draft communication to M. Pirian re withdrawal of Pirian proofs of claims. Review and analyze docket and pleadings filed in adversary proceeding filed by Getlin Trust against the Debtor for resolution of Getlin Trust's claim (POC 50) against the Debtor. Review and analyze docket and pleadings filed in adversary proceeding Atty RMK RMK RMK RMK RMK RMK MC MRD RMK ELL RMK RMK RMK RMK RMK RMK RMK RMK

September 26, 2013 Invoice 70324 Page 22


Hours 0.20 0.20 0.20 0.20 0.20 0.20 0.20 0.20 0.10 0.20 0.40 0.40 0.30 0.20 0.30 0.20 0.40 0.40 Amount 60.00 60.00 60.00 60.00 60.00 60.00 45.00 75.00 30.00 39.00 120.00 120.00 90.00 60.00 90.00 60.00 120.00 120.00

Exhibit 2, Page 22

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description filed by H. Getlin against the Debtor for resolution of H. Getlin's claim (POC 49) against the Debtor. Review and analyze docket and pleadings filed in adversary proceeding filed by 87th Peoria against the Debtor for resolution of 87th Peoria's claim (POC 39) against the Debtor. Review and analyze docket and pleadings filed by J. Belle to determine whether there has been any resolution of claims asserted by J. Belle and other SC entities. Review and analyze docket and pleadings filed in adversary proceeding filed by Shaw Blackstone against the Debtor for resolution of Shaw Blackstone's claim (POC 100) against the Debtor. Review and reply to email from U. Ranaan re proof of claim of A. Nahai and concerns re statute of limitations and personal guaranty of the debtor. Review and reply to email from B. Nahai re supporting documents to claim filed by T. Nahai. Draft communication to U. Ranaan re list of claims with one-line guaranties which we are waiting on drafting objections. Draft communication to U. Ranaan re E. Aframian's proof of claim (number 52) and response received including guaranty not entered into contemporaneously with note. Draft communication to U. Ranaan re K. Aframian's proof of claim (number 53) and response received including guaranty not entered into contemporaneously with note. Draft communication to U. Ranaan re Aframian Trustees' proof of claim (number 54) and response received including guaranty not entered into contemporaneously with note. Review and analyze multiple emails re personal guaranty claims and objections thereto. Review and analyze correspondence from B. King re Getlin proof of claims. Review and reply to email from M. Ruszecki re extending the deadline to provide supporting documents to the Separzadeh claims. Review and analyze issues re remaining claims on objection chart which are still missing documentation and confirm whether there is current contact information for claimants. Initial review of pleadings and comments re Cathay Settlement; prep instructions and then discuss with clients. Atty

September 26, 2013 Invoice 70324 Page 23


Hours Amount

02/25/13 02/25/13 02/25/13 02/25/13 02/25/13 02/25/13 02/25/13 02/25/13 02/25/13 02/25/13 02/25/13 02/27/13 02/27/13 02/27/13

RMK RMK RMK RMK RMK RMK RMK RMK RMK MRD RMK RMK RMK LMS RMK RMK MRD RMK

0.40 0.60 0.40 0.20 0.10 0.40 0.20 0.20 0.20 0.20 0.60 0.20 0.80 1.10 0.30 0.80 0.10 0.10

120.00 180.00 120.00 60.00 30.00 120.00 60.00 60.00 60.00 75.00 180.00 60.00 240.00 577.50 90.00 240.00 37.50 30.00

03/01/13 Review and analyze correspondence from B. King re Getlin claims (POC 49, 50) and documents supporting claims. 03/01/13 Work on claim objection issues and strategy for further action plan. 03/06/13 Telephone conference with J. Mason re status of Namco Exchange case. 03/07/13 Telephone call to E. Dennis re objection to priority claims.

Exhibit 2, Page 23

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 03/07/13 Review and analyze E. Dennis' claim (no. 63) and objection filed in preparation for telephone call. 03/07/13 Draft communication to U. Ranaan re 87th Peoria's claim and stipulated judgment entered into by debtor during bankruptcy. 03/07/13 Telephone call from E. Dennis re objection to priority claim. 03/07/13 Draft communication to U. Ranaan re Getlin claims and stipulated judgment entered into by debtor during bankruptcy. 03/07/13 Review and analyze issues re stipulated judgments allowing claim against the debtor and impact on claim. 03/07/13 Review and analyze issues re claims where debtor stipulated to nondischargeable judgment. 03/13/13 Review and analyze proof of claim of Omid Razi (no. 58) in preparation for telephone call re request for additional documentation. 03/13/13 Telephone call to Omid Razi re request for additional documentation for his proof of claim (no. 58). 03/13/13 Draft communication to G. Salvato re request for additional documentation for proof of claim for Moosai Trust (no. 78). 03/13/13 Review and analyze proof of claim of Shaw Blackstone, LLC (no. 100) in preparation for telephone call re request for additional documentation. 03/13/13 Draft communication to R. Herzog re request for additional documentation for proof of claim for Shaw Blackstone LLC (no. 100). 03/13/13 Review and analyze proof of claim of Saeed Cohen (no. 107) in preparation for telephone call re request for additional documentation. 03/13/13 Draft communication to M. Mersel re request for additional documentation for proof of claim for Saeed Cohen (no. 107). 03/13/13 Review and analyze proof of claim of 26 Etehad, LLC (no. 151) in preparation for telephone call re request for additional documentation. 03/13/13 Draft communication to R. Stonerock re request for additional documentation for proof of claim for 26 Etehad, LLC (151). 03/13/13 Review and analyze issues re objection to claim no. 172 for being imaged in wrong case. 03/13/13 Review and conduct lexis public record search of N. Nazarian MD for current contact information for revision to proof of claim no. 172. 03/13/13 Review and reply to email from R. Herzog re request for additional documentation for proof of claim for Shaw Blackstone LLC (no. 100). 03/13/13 Review and reply to email from R. Stonerock re request for additional documentation for proof of claim for 26 Etehad, LLC (151). 03/13/13 Review and analyze proof of claim of Ernesto and Socorro Vasquez (no. 178) in preparation for drafting communication re request for additional documentation. 03/13/13 Draft communication to S. Fainsbert re request for additional documentation for proof of claim for Ernesto and Socorro Vasquez (no. Atty RMK RMK RMK RMK RMK MRD RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK

September 26, 2013 Invoice 70324 Page 24


Hours 0.20 0.30 0.20 0.30 0.60 0.10 0.10 0.10 0.30 0.20 0.30 0.20 0.30 0.30 0.30 0.20 0.20 0.10 0.20 0.20 0.30 Amount 60.00 90.00 60.00 90.00 180.00 37.50 30.00 30.00 90.00 60.00 90.00 60.00 90.00 90.00 90.00 60.00 60.00 30.00 60.00 60.00 90.00

Exhibit 2, Page 24

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 03/13/13 03/13/13 03/13/13 03/13/13 03/13/13 03/13/13 03/13/13 03/13/13 03/13/13 03/13/13 03/13/13 03/13/13 03/13/13 03/13/13 03/14/13 03/14/13 03/14/13 03/14/13 03/14/13 03/14/13 03/14/13 Description 178). Draft communication to H. Bergman re request for additional documentation for proof of claim for Moses & Singer (no. 200). Draft communication to J. Gersh re request for additional documentation for proof of claim for Shaw Blackstone LLC (no. 100). Draft communication to R. Esensten re request for additional documentation for proof of claim for 26 Etehad, LLC (151). Review and reply to email from R. Esensten re request for additional documentation for proof of claim for 26 Etehad, LLC (151) and request completion of the withdrawal form. Review and analyze issues re effect of settlement with Secret Beach on the claim filed by Morrow (POC no. 217). Draft communication to U. Ranaan re effect of settlement with Secret Beach on the claim filed by Morrow (POC no. 217). Review and analyze settlement motion entered into between Namco, Namvar and Pirians for specific language releasing POC 80, 81, and 82. Draft correspondence to M. Pirian re settlement motion entered into between Namco, Namvar and Pirians and specific language releasing POC 80, 81, and 82; request withdrawal of those claims. Draft correspondence to O. Razi re supporting documents requested for proof of claim. Review and analyze issues re change of address notice filed in the case and whether they correspond to any claims with possible objections. Review and analyze proofs of claim (nos. 149 and 150) filed by Paradigm Tax Group in preparation for drafting objections to those claims. Review email from M. Torbati re new address; update master mailing matrix for F.R.B.P. 2002 notices re same and prepare email to M. Torbati with instructions on filing Change of Address with the Court. Review and analysis of issues re pending disputed claims and status of requests for documents in support of claims. Review and analyze multiple correspondence re documents needed from creditors. Draft communication to E. Hold re status of all claim objections. Review and revise chart re status of all claim objections. Telephone call from O. Razi re request for supporting documents re claim. Review and revise correspondence to N. Nazarin re his proof of claim (no. 107) and providing a copy of the claim. Review and revise correspondence to D. White re Crawford Trust's proof of claim (no. 187). Review and revise correspondence to D. White re E. and S. Vasquez's proof of claim (no. 178). Draft correspondence to Dr. Nazarian re request for copy of Proof of Atty RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK ELL ELL MRD RMK RMK RMK RMK RMK RMK ELL

September 26, 2013 Invoice 70324 Page 25


Hours 0.30 0.20 0.20 0.20 0.30 0.20 0.40 0.30 0.20 0.60 0.60 0.20 0.30 0.20 0.80 0.60 0.20 0.20 0.20 0.20 0.30 Amount 90.00 60.00 60.00 60.00 90.00 60.00 120.00 90.00 60.00 180.00 180.00 39.00 58.50 75.00 240.00 180.00 60.00 60.00 60.00 60.00 58.50

Exhibit 2, Page 25

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description Claim due to incorrect image on the Court's Claims Register and for documentation in support. Draft correspondence to David S. White & Associates re request for documentation needed in support of claim filed by the Crawford Trust and Ernesto and Socorro Vasquez. Review communication to E. Held re status of claim objections. Review and revise status report to clients. Review and analyze facsimile from H. Bergman re his proof of claim (no. 200) against the debtor; update claim objection chart re same. Review and analyze documents received from M. Ruszecki re Separzadeh proof of claims (nos. 126, 127, 128); update claim objection chart re same. Draft communication to U. Ranaan re Separzadeh proof of claims (nos. 126, 127, 128) and holding off on objections due to one-line guaranties. Draft communication to U. Ranaan re 87th Peoria's proof of claim (POC 39) and effect of stipulation with debtor on claim. Draft communication to U. Ranaan re Getlin's proof of claims (POC 49 and 50) and effect of stipulations with debtor on claim. Review and reply to email from M. Mersel re S. Cohen's proof of claim (107). Review and analyze documents provided by A. Gardner in support of the Gardner Family Trust proof of claim (no. 221); update chart re same. Draft communication to U. Ranaan re Gardner Family Trust proof of claim (no. 221) and supporting documents provided in response to our request which include one-line guaranties. Draft communication to E. Negari re MMN Family Trust's proof of claim and documents received in support of the proof of claim. Telephone call from E. Denis re objection to his priority proof of claim. Revise and prepare for final the correspondence to Dr. Nazarian (Claim No. 172) and David S. White & Associates (Claim Nos. 178 and 187) re request for documentation needed. Review and reply to communication from D. White re claim of the Crawford Living Trust and Vasquezes. Review and revise Objection to Claims in order to finalize objections in preparation of Review by Client. Prepare Table of Authorities and Table of Contents. Review and update chart re status of request for documents and claim objections. Review and revise Objection to Claims in order to finalize objections in preparation of Review by Client. Prepare Table of Authorities and Table of Contents. Draft fourth omnibus objection to claims which are not an obligation of Atty

September 26, 2013 Invoice 70324 Page 26


Hours Amount

03/14/13 03/14/13 03/14/13 03/15/13 03/15/13 03/15/13 03/15/13 03/15/13 03/15/13 03/15/13 03/15/13 03/15/13 03/15/13 03/15/13 03/20/13 03/20/13 03/20/13 03/21/13 03/21/13

ELL MRD LMS RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK ELL RMK SPS RMK SPS RMK

0.20 0.20 0.50 0.20 1.10 0.30 0.10 0.10 0.10 0.40 0.30 0.20 0.10 0.30 0.30 1.60 0.30 1.10 2.40

39.00 75.00 262.50 60.00 330.00 90.00 30.00 30.00 30.00 120.00 90.00 60.00 30.00 58.50 90.00 280.00 90.00 192.50 720.00

Exhibit 2, Page 26

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description the debtor including Soofer Claim (POC 30), Cushman Claim (POC 109) and SRF Claim (POC 116). Review and reply to email from U. Raanan re Gardner Family Trust Claim (POC 221). Review and revise omnibus objection to claims which are not an obligation of the debtor including Soofer Claim (POC 30), Cushman Claim (POC 109) and SRF Claim (POC 116). Review and reply to email from U. Ranaan re Getlin Claims (POC 49 & 50) and how to handle stipulated judgments for non-dischargeable claims against the Debtor. Review and reply to email from U. Ranaan re Separzadeh Claims (POC 126, 127, 128) and holding off on objecting. Review and reply to email from U. Ranaan re 87th Peoria LLC's proof of claim (POC 39). Review and reply to email from U. Ranaan re documents received in response to our request for supporting documents on the Getlin Claims (POCs 49 & 50). Draft declarations in support of fourth omnibus objection to claims which are not an obligation of the debtor including Soofer Claim (POC 30), Cushman Claim (POC 109) and SRF Claim (POC 116). Review and analyze Soofer Claim (POC 30), Cushman Claim (POC 109) and SRF Claim (POC 116) in preparation for drafting omnibus objection to claims. Review and analyze Paradigm Tax Group, Inc.'s proof of claim (POC 149) in preparation for drafting claim objection. Review and analyze Paradigm Tax Group, Inc.'s proof of claim (POC 150) in preparation for drafting claim objection. Begin drafting claim objection objecting to the Paradigm claims (POCs 149 & 150). Review and analyze multiple emails re status of objections to claims. Finish drafting claim objection objecting to the Paradigm claims (POCs 149 & 150). Review and analyze case law and statutory authority re whether a request for payment of an administrative expense may be asserted through a proof of claim. Review and analyze the docket for the Namvar bankruptcy re whether Paradigm Tax Group, Inc. filed a request for payment of administrative expense as required under 11 U.S.C. Section 503(a). Draft declaration in support of claim objection objecting to the Paradigm claims (POCs 149 & 150). Review and revise claim objection objecting to the Paradigm claims (POCs 149 & 150). Atty

September 26, 2013 Invoice 70324 Page 27


Hours Amount

03/21/13 03/21/13 03/21/13 03/21/13 03/21/13 03/21/13 03/21/13 03/21/13 03/21/13 03/21/13 03/21/13 03/21/13 03/22/13 03/22/13 03/22/13 03/22/13 03/22/13

RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK MRD RMK RMK RMK RMK RMK

0.20 0.60 0.30 0.10 0.10 0.20 0.70 0.30 0.30 0.40 1.20 0.20 1.70 0.60 0.30 0.40 0.40

60.00 180.00 90.00 30.00 30.00 60.00 210.00 90.00 90.00 120.00 360.00 75.00 510.00 180.00 90.00 120.00 120.00

Exhibit 2, Page 27

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 03/22/13 Telephone call to E. Afaghi re 87th Peoria LLC's proof of claim (POC 39) and correspondence sent re supporting documents in January 2013. 03/22/13 Draft communication to E. Afaghi's office re 87th Peoria LLC's proof of claim (POC 39) and correspondence sent re supporting documents in January 2013. 03/22/13 Review and analyze issues re responses from claimants for follow ups to request for documents; update chart re status of claims re same. 03/22/13 Review and reply to email from D. Meadows re release of the D. Morrow claim (POC 217) through the Secret Beach agreement. 03/22/13 Draft correspondence to U. Ranaan re release of the D. Morrow claim (POC 217) through the Secret Beach agreement and whether we should request that he file a withdrawal of his claim. 03/22/13 Draft communication to B. Nahai re T. Nahai's proof of claim (POC 170) and lack of supporting documents attached. 03/22/13 Draft communication to B. Nahai re A. Nahai's proof of claim (POC 171) and assertion that the claim is time barred due to the statute of limitations to enforce the claim. 03/22/13 Telephone call to D. Selki re how he would like to handle M. Selki, S Selki and his claims (POC 92, 93, 94). 03/22/13 Draft communication to U. Ranaan re claims filed by J. Belle re SC limited liability companies (POC 180-186, 188, 190-196). 03/22/13 Review and analyze docket and pleadings filed in instant bankruptcy case re resolution of the SC limited liability companies. 03/22/13 Telephone call to B. Broumand re correspondence sent for additional documentation in support of his proof of claim (POC 161). 03/22/13 Review and analyze F. Behfarin's proof of claim (POC 206) in preparation for telephone call to F. Behfarin re supporting documents requested. 03/22/13 Telephone call to F. Behfarin re his proof of claim (POC 206) and supporting documents requested. 03/22/13 Draft communication to F. Behfarin re his proof of claim (POC 206) and supporting documents requested. 03/22/13 Review and analyze B. Broumand's proof of claim (POC 161) in preparation for telephone call re request for additional documents. 03/25/13 Review and revise objs to Paradign Tax Group claims. 03/25/13 Review and revise objections to Soofer, Cushman and SRF claims. 03/25/13 Review and reply to communication from K. Moynihan re supporting documents in support of Saeed Cohen's proof of claim (No. 107). 03/25/13 Review and analyze correspondence from K. Moynihan re supporting documents in support of Saeed Cohen's proof of claim (No. 107). 03/25/13 Review and analyze issues re responses from claimants for follow ups to request for documents; update chart re status of claims re same. Atty RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK LMS LMS RMK RMK RMK

September 26, 2013 Invoice 70324 Page 28


Hours 0.10 0.30 1.10 0.20 0.10 0.30 0.30 0.10 0.30 0.60 0.10 0.20 0.10 0.20 0.10 0.50 0.60 0.20 0.40 0.30 Amount 30.00 90.00 330.00 60.00 30.00 90.00 90.00 30.00 90.00 180.00 30.00 60.00 30.00 60.00 30.00 262.50 315.00 60.00 120.00 90.00

Exhibit 2, Page 28

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 03/25/13 Draft objection to H. Moossai's proof of claim (number 78). 03/25/13 Draft declarations in support of objection to H. Moossai's proof of claim (number 78). 03/25/13 Review and revise objection to H. Moossai's proof of claim (number 78). 03/26/13 Telephone call from D. Selki re D. Selki, M Selki and S. Selki's proofs of claims (no. 92, 93, 94) and documents needed in support of same. 03/26/13 Draft communication to D. Selki re D. Selki, M Selki and S. Selki's proofs of claims (no. 92, 93, 94) and documents needed in support of same. 03/26/13 Review and finalize claim objection objecting to the Paradigm claims (POCs 149 & 150). 03/26/13 Review and finalize fourth omnibus objection to claims which are not an obligation of the debtor including Soofer Claim (POC 30), Cushman Claim (POC 109) and SRF Claim (POC 116). 03/26/13 Review and analyze issues re effect of settlement between Namco estate and D. Selki and M Selki for amount of proof of claims. 03/26/13 Telephone call from Dr. Navarian re her proof of claim and that she has sent requested documents. 03/26/13 Compile and send 3 draft omnibus claim objections based on obligations of Namco to T. Neilson and U. Raanan for review and execution 03/26/13 Review and finalize omnibus claim objections 03/27/13 Draft omnibus objection to secured claims. 03/27/13 Review and analyze Inland Mortgage Capital Corporation's proof of claim (POC 55) in preparation for drafting objection to secured claims. 03/27/13 Review and analyze Shaw Blackstone, LLC's proof of claim (POC 100) in preparation for drafting objection to secured claims. 03/27/13 Review and analyze S. Shakib's proof of claim (POC 103) in preparation for drafting objection to secured claims. 03/27/13 Review and analyze Wilshire State Bank's proof of claim (POC 139) in preparation for drafting objection to secured claims. 03/29/13 Review and reply to email from M. Torbati re requested documents for her claim and M&S Partnership's claim. 03/29/13 Telephone call to M. Torbati re her proof of claim and M&S Partnership's proof of claim. 03/29/13 Review and analyze issues re unresolved claims and objection issues; update chart re status of claims re same. 03/29/13 Continue drafting omnibus objection to secured claims. 03/30/13 Finish drafting omnibus objection to secured claims. 03/30/13 Draft declarations in support of omnibus objection to secured claims. 04/01/13 Draft communication to U. Ranaan re SC proofs of claim and status of liquidation re same. 04/01/13 Draft communication to M. Pirian re withdrawal of Proofs of Claim 80-1, Atty RMK RMK RMK RMK RMK RMK RMK RMK RMK MC MC RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK

September 26, 2013 Invoice 70324 Page 29


Hours 1.90 0.40 0.40 0.20 0.10 0.40 0.40 0.30 0.10 0.20 0.30 1.10 0.40 0.40 0.40 0.40 0.10 0.20 0.90 1.10 0.60 0.80 0.10 0.30 Amount 570.00 120.00 120.00 60.00 30.00 120.00 120.00 90.00 30.00 45.00 67.50 330.00 120.00 120.00 120.00 120.00 30.00 60.00 270.00 330.00 180.00 240.00 30.00 90.00

Exhibit 2, Page 29

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 04/02/13 04/02/13 04/02/13 04/02/13 04/02/13 04/02/13 04/02/13 04/02/13 Description 81-1, and 82-1 (filed by Pirians). Review and finalize objection to Paradigm claims (POC 149 and 150). Review and finalize notice of objection to Paradigm claim (POC 149). Review and finalize notice of objection to Paradigm claim (POC 150). Review and finalize omnibus objection to S. Soofer's proof of claim (no. 30), Cushman & Wakefield's proof of claim (no. 109), and SRF Investments' proof of claim (no. 116). Review and finalize notice of objection to S. Soofer's proof of claim (no. 30). Review and finalize notice of objection to Cushman & Wakefield's proof of claim (no. 109). Review and finalize notice of objection to SRF Investments' proof of claim (no. 116). Review and analyze documents provided by N. Nazarian in support of her claim (POC 172) filed against the Debtor. Atty RMK RMK RMK RMK RMK RMK RMK RMK RMK AMV

September 26, 2013 Invoice 70324 Page 30


Hours 0.30 0.10 0.10 0.40 0.10 0.10 0.10 0.30 0.30 0.30 Amount 90.00 30.00 30.00 120.00 30.00 30.00 30.00 90.00 90.00 52.50

04/02/13 Draft communication to U. Ranaan re documents provided by N. Nazarian in support of her claim (POC 172) filed against the Debtor. 04/02/13 Draft Notice of Objection to Claim - Claim No. 149 Paradigm Tax Group, Inc. in connection with the Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claim Numbers 149 - Paradigm Tax Group, Inc. and 150 - Paradigm Tax Group, Inc. 04/02/13 Draft Notice of Objection to Claim - Claim No. 150 Paradigm Tax Group, Inc. in connection with the Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claim Numbers 149 - Paradigm Tax Group, Inc. and 150 - Paradigm Tax Group, Inc. 04/02/13 Draft Notice of Objection to Claim - Claim No. 30 - Soraya Soofer in connection with the Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claim Numbers 30 - Soraya Soofer, 109 Cushman & Wakefield of Washington, D.C. and 116 - SRF Investments LLC. 04/02/13 Draft Notice of Objection to Claim - Claim No. 109 - Cushman & Wakefield of Washington, D.C. in connection with the Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claim Numbers 30 Soraya Soofer, 109 Cushman & Wakefield of Washington, D.C. and 116 SRF Investments LLC. 04/02/13 Draft Notice of Objection to Claim - Claim No. 116 - SRF Investments LLC in connection with the Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claim Numbers 30 - Soraya Soofer, 109 Cushman & Wakefield of Washington, D.C. and 116 - SRF Investments LLC. 04/02/13 Review and analyze documents provided by O. Razi in response to our request for the additional documents in support of his claim (no. 58) against the debtor. 04/02/13 Review and revise objection to H. Moossai's claim (no. 78) to include additional objection to B. Broumand's claim (no. 161) for lack of

AMV

0.30

52.50

AMV

0.30

52.50

AMV

0.30

52.50

AMV

0.30

52.50

RMK RMK

0.30 0.60

90.00 180.00

Exhibit 2, Page 30

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 04/02/13 04/02/13 04/03/13 04/03/13 04/03/13 04/03/13 04/03/13 04/03/13 Description supporting documentation. Review and revise declarations in support of objection to H. Moossai's claim (no. 78) to include additional objection to B. Broumand's claim (no. 161) for lack of supporting documentation. Review and analyze multiple correspondence re objections to secured claims and responses from creditors re same. Telephone call to N. Nazarian re documents provided in support of her proof of claim (no. 172). Draft communication to D. White re status of documents requested for the Crawford Trust's proof of claim (no. 187) and the Vasquez's proof of claim (no. 178). Review and revise omnibus objection for lack of supporting documentation to include T. Nahai claim (170) and F. Behfarin claim (206). Review and analyze proofs of claim filed by O. Razi (no. 58), J. Razi (no. 59) and Jacob and Khorshid Razi (no. 60) and documents provided by O. Razi in support of his claim. Review and analyze 87th Peoria's Claim (POC 39) and correspondence sent re claim in preparation for drafting omnibus objection to claims. Review and analyze Gabayan's Claim (POC 157) and correspondence sent re same in preparation for drafting omnibus objection to claims. Atty RMK MRD RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK MC LMS MC MC LMS RMK RMK RMK

September 26, 2013 Invoice 70324 Page 31


Hours 0.30 0.20 0.10 0.20 1.60 0.30 0.30 0.30 0.30 0.80 0.30 0.30 0.40 0.30 0.30 4.00 0.60 0.20 1.60 0.60 Amount 90.00 75.00 30.00 60.00 480.00 90.00 90.00 90.00 90.00 240.00 90.00 90.00 90.00 157.50 67.50 900.00 315.00 60.00 480.00 180.00

04/03/13 Review and analyze MMN Family Trust's Claim (POC 189) and correspondence sent re same in preparation for drafting omnibus objection to claims. 04/03/13 Draft fifth omnibus objection to claims for claims which are not obligations of the debtor. 04/03/13 Review and analyze T. Nahai's Claim (POC 170) and correspondence sent re claim in preparation for drafting omnibus objection to claims. 04/03/13 Review and analyze F. Behfarin's Claim (POC 206) and correspondence sent re claim in preparation for drafting omnibus objection to claims. 04/03/13 Review court's docket for oppositions to priority objections to claims no 27 and 63 in preparation for hearing 04/03/13 Review and revise for final objection to Paradigm claims. 04/03/13 Prepare draft order disallowing priority classification for claims 27 and 43 04/03/13 Prepare for, travel to, and appear for hearing on trustee's objection to claims 27, 43 as priority claims 04/03/13 Review and revise objs to claims of Mosai and Bromuand. 04/04/13 Review and revise order granting omnibus claim objection to priority claims. 04/04/13 Finish drafting fifth omnibus objection to claims for claims which are not obligations of the debtor. 04/04/13 Review and revise declarations in support of omnibus objection for lack of

Exhibit 2, Page 31

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 04/04/13 04/04/13 04/04/13 04/04/13 04/05/13 04/05/13 04/05/13 04/05/13 Description supporting documentation. Draft declarations in support of fifth omnibus objection to claims for claims which are not obligations of the debtor. Review and revise fifth omnibus objection to claims for claims which are not obligations of the debtor. Review and reply to email from U. Ranaan re suggested revisions to omnibus motion for claims lacking documentation. Review revisions to draft proposed order disallowing priority claims 47, 63 Review and reply to email from M. Torbati re documents in support of her claim (POC 166) and M&S Partnership's claim (POC 235). Draft communication to U. Ranaan re revisions to Trustee's declaration in support of the omnibus objection to claims lacking documentation. Review and reply to multiple communications from U. Ranaan re revisions to Trustee's declaration in support of the omnibus objection to claims lacking documentation. Draft request for judicial notice in support of omnibus objection for lack of supporting documentation. Atty RMK RMK RMK MC RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK MRD MC RMK RMK MRD

September 26, 2013 Invoice 70324 Page 32


Hours 0.70 0.60 0.10 0.10 0.10 0.20 0.40 0.40 0.60 0.40 0.10 0.10 0.60 0.30 0.60 0.20 0.30 0.10 0.30 0.10 Amount 210.00 180.00 30.00 22.50 30.00 60.00 120.00 120.00 180.00 120.00 30.00 30.00 180.00 90.00 180.00 75.00 67.50 30.00 90.00 37.50

04/05/13 Review and revise omnibus objection for lack of supporting documentation to include U. Ranaan's revisions re trustee's declaration. 04/05/13 Review and analyze documents provided by M. Torbati in support of her claim (POC 166) and M&S Partnership's claim (POC 235). 04/05/13 Draft communication to M. Torbati re providing copies of the underlying promissory notes for her claim (POC 166) and M&S Partnership (POC 235). 04/05/13 Review and reply to email from M. Torbati re providing copies of the underlying promissory notes for her claim (POC 166) and M&S Partnership (POC 235). 04/05/13 Review and revise fifth omnibus objection for obligations which are not against the debtor to include U. Ranaan's revisions re trustee's declaration. 04/05/13 Draft request for judicial notice in support of fifth omnibus objection for obligations which are not against the debtor. 04/05/13 Review and analyze issues re sufficient documentation provided in support of potentially objectionable claims. 04/05/13 Review and analyze issues re evidence for claim objections and how to admit. 04/05/13 Review and analyze revised direction for objection to claims strategy re supporting declarations for omnibus claim objection. 04/08/13 Draft communication to U. Raanan re SC limited liability companies's proof of claims and objection to same. 04/10/13 Review and analyze BankFirst's proof of claim (no. 12) and determine whether any additional information should be requested from the claimant. 04/10/13 Telephone conference with E. Caldy re status of case and objections to

Exhibit 2, Page 32

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 04/11/13 04/11/13 04/11/13 04/11/13 04/12/13 Description claims. Begin drafting motion objecting to A. Nahai's claim (POC 171). Draft request for judicial notice in support of motion objecting to A. Nahai's claim (POC 171). Review and analyze case law and statutory authorities re the enforcement of a personal guaranty of a contract in writing under California Code of Civil Procedure Section 337. Review and analyze status of completion of claims work; study additional targets; prepare instructions. Draft Notice of Objection to Claim No. 78 - Haroon Mossai in connection with the Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claim Numbers 78 - Haroon Mossai, 161 - Brenden Broumand, 170 Tara Nahai and 206 - Fred Behfarin. Draft Notice of Objection to Claim No. 161 - Brenden Broumand in connection with the Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claim Numbers 78 - Haroon Mossai, 161 - Brenden Broumand, 170 - Tara Nahai and 206 - Fred Behfarin. Draft Notice of Objection to Claim No. 170 - Tara Nahai in connection with the Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claim Numbers 78 - Haroon Mossai, 161 - Brenden Broumand, 170 Tara Nahai and 206 - Fred Behfarin. Draft Notice of Objection to Claim No. 206 - Fred Behfarin in connection with the Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claim Numbers 78 - Haroon Mossai, 161 - Brenden Broumand, 170 Tara Nahai and 206 - Fred Behfarin. Finish drafting motion objecting to A. Nahai's claim (POC 171). Review and analyze case law and statutory authorities re whether a personal guaranty of a note may be enforced under California Code of Civil Procedure Section 337 when there has been partial payments on the note. Draft declaration in support of the motion objecting to A. Nahai's claim (POC 171). Review and revise motion objecting to A. Nahai's claim (POC 171). Review and revise for final objection to claims of Mossai, et al. Review and revise fifth omnibus motion objecting to claims (POC 39, 157, 189). Review and revise request for judicial notice in support of fifth omnibus motion objecting to claims (POC 39, 157, 189). Review and revise motion objecting to A. Nahai's claim (POC 171). Review and revise request for judicial notice in support of motion objecting to A. Nahai's claim (POC 171). Review and analyze issues re status of claim objections and strategy for Atty RMK RMK RMK LMS AMV

September 26, 2013 Invoice 70324 Page 33


Hours 0.60 0.30 0.80 0.70 0.30 Amount 180.00 90.00 240.00 367.50 52.50

04/12/13

AMV

0.30

52.50

04/12/13

AMV

0.30

52.50

04/12/13

AMV

0.30

52.50

04/12/13 04/12/13

RMK RMK

1.70 0.60

510.00 180.00

04/12/13 04/12/13 04/17/13 04/18/13 04/18/13 04/18/13 04/18/13 04/18/13

RMK RMK LMS RMK RMK RMK RMK RMK

0.40 0.30 0.40 0.40 0.20 0.30 0.10 0.80

120.00 90.00 210.00 120.00 60.00 90.00 30.00 240.00

Exhibit 2, Page 33

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 04/18/13 04/18/13 04/19/13 04/19/13 04/19/13 04/19/13 04/19/13 04/19/13 04/19/13 04/19/13 04/19/13 04/19/13 04/19/13 04/19/13 04/19/13 Description objecting to remaining incomplete or erroneously filed claims. Review and revise two sets of objs to claims. Prepare Order on Disallowing Priority Claim of Mariana Jalil and Exra Denis for service and E-filing with the Court. Review and analyze issues re insufficient documentation provided in support of the Getlin Claim (POC 49) and Getlin Trust Claim (POC 50). Review and analyze issues re Pirian claims (POC 80, 81 and 82) and receipt of withdrawal of same. Review and analyze issues re documents received by D. Selki in support of Selki Claims (POC 92, 93, 94). Review and analyze issues re documents received supporting S. Cohen's claim (POC 107) evidencing fraud. Draft communication to M. Torbati re status of documents in support of her claim and the claim of M&S Partnerships. Draft communication to D. White re status of documents in response to request for Vasquez's claim (POC 178) and Crawford Living Trust claim (POC 187). Review and analyze issues re documents received by R. Hanasab in support of Robhana and M&Y Management Claims (POC 147, 149). Review and analyze issues re sufficient documentation provided in support of potentially objectionable claims; update chart re same. Draft communication to U. Raanan re lack of response from M. Pirian re request for withdrawal of the Pirian claims (POC 80, 81 and 82). Review and reply to email from U. Raanan re Pirian claims (POC 80, 81 and 82) and receipt of withdrawal of same. Review and analyze issues re documents received supporting Boyle Avenue, LLC's claim (POC 140) evidencing fraud. Review and analyze issues re documents received supporting H. Bergman's claim (POC 200) evidencing fraud. Draft Declaration of M. Choi in support of trustee's omnibus objection as to claims No. 144 Khalil Varastehpour; No. 152 The Yasmin Family 1999 Limited Partnership; No. 158 Iraj Farhadian FBO Farhadian Family Trust; No. 163 Bijan Nahai; No. 197 Princeton Holdings, LLC; No. 231 Elodie Khavarani. Draft declaration of M. Choi in support of Trustee's omnibus motion objecting to No. 117 Morad Radfar or Pavaneh Radfar, Trustee of the Radfar Family Trust; No. 135 Fereshteh Kohanim; No. 136 Behnam Souroudi Retirement Trust; No. 137 Behnam Souroudi Retirement Trust. Prepare RJN in support of Trustee's omnibus objection to No. 117 Morad Radfar or Pavaneh Radfar, Trustee of the Radfar Family Trust; No. 135 Fereshteh Kohanim; No. 136 Behnam Souroudi Retirement Trust; No. 137 Behnam Souroudi Retirement Trust. Atty LMS SPS RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK RMK MC

September 26, 2013 Invoice 70324 Page 34


Hours 1.40 0.40 0.30 0.20 0.20 0.30 0.10 0.20 0.30 1.20 0.20 0.10 0.30 0.10 0.40 Amount 735.00 70.00 90.00 60.00 60.00 90.00 30.00 60.00 90.00 360.00 60.00 30.00 90.00 30.00 90.00

04/19/13

MC

0.40

90.00

04/19/13

MC

0.40

90.00

Exhibit 2, Page 34

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 04/19/13 Review and revise trustee's first omnibus claim objection to claims no: 7, 10, 24, 34, 35, 36, 95, 96. 04/19/13 Draft RJN in support of trustee's first omnibus claim objection to claims no: 7, 10, 24, 34, 35, 36, 95, 96. 04/19/13 Prepare declaration of M. Choi in support of trustee's first omnibus claim objection to claims no: 7, 10, 24, 34, 35, 36, 95, 96. 04/19/13 Review and revise trustee's omnibus motion objection to No. 117 Morad Radfar or Pavaneh Radfar, Trustee of the Radfar Family Trust; No. 135 Fereshteh Kohanim; No. 136 Behnam Souroudi Retirement Trust; No. 137 Behnam Souroudi Retirement Trust. 04/19/13 Review and analyze issues re objections to claims filed. 04/19/13 Review and revise trustee's omnibus objection as to claims No. 144 Khalil Varastehpour; No. 152 The Yasmin Family 1999 Limited Partnership; No. 158 Iraj Farhadian FBO Farhadian Family Trust; No. 163 Bijan Nahai; No. 197 Princeton Holdings, LLC; No. 231 Elodie Khavaran. 04/19/13 Draft RJN in support of trustee's omnibus objection as to claims No. 144 Khalil Varastehpour; No. 152 The Yasmin Family 1999 Limited Partnership; No. 158 Iraj Farhadian FBO Farhadian Family Trust; No. 163 Bijan Nahai; No. 197 Princeton Holdings, LLC; No. 231 Elodie Khavarani. 04/22/13 Review and reply to email from D. White re discussion about Vasquez and Crawford Family Trust claims. 04/22/13 Review and revise omnibus claim objections; prepare email to U. O' Raanan re revisions. 04/23/13 Review and revise first omnibus objection to claims asserted incorrectly against the debtor's estate to include analysis re Claim No. 10 (Manouchehr Tabibzadeh). 04/23/13 Review and analyze issues re omnibus objections to claims which were improperly asserted against the Debtor. 04/23/13 Review and finalize first omnibus objection to claims asserted incorrectly against the debtor's estate. 04/23/13 Review and finalize mandatory notices of objection to claim for the first omnibus objection to claims improperly asserted against the Debtor. 04/23/13 Review and finalize notice in support of first omnibus objection to claims asserted incorrectly against the debtor's estate. 04/23/13 Draft Notice of Objection to Claim - Claim No. 10 - Manouchehr Tabibzadeh in connection with the Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claims of: Claim No. 7 - Jonathan Baharvar; Claim No. 10 - Manouchehr Tabibzadeh; Claim No. 24 - Mansoor Alyeshmerni; Claim No. 34 - Mishel Sakhai; Claim No. 35 - Kamran Raminfard; Claim No. 36 - Mani and Talia Raminfard; Claim No. 95 - Fred Mahjoubi; and Claim No. 96 - Ben Mahjoubi. Atty MC MC MC MC

September 26, 2013 Invoice 70324 Page 35


Hours 0.70 0.40 0.40 0.40 Amount 157.50 90.00 90.00 90.00

MRD MC

0.60 0.40

225.00 90.00

MC

0.30

67.50

RMK MC RMK RMK RMK RMK RMK AMV

0.10 0.40 0.60 0.60 0.40 0.40 0.20 0.30

30.00 90.00 180.00 180.00 120.00 120.00 60.00 52.50

Exhibit 2, Page 35

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 04/23/13 Draft Notice of Objection to Claim - Claim No. 7 - Jonathan Baharvar in connection with the Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claims of: Claim No. 7 - Jonathan Baharvar; Claim No. 10 Manouchehr Tabibzadeh; Claim No. 24 - Mansoor Alyeshmerni; Claim No. 34 - Mishel Sakhai; Claim No. 35 - Kamran Raminfard; Claim No. 36 - Mani and Talia Raminfard; Claim No. 95 - Fred Mahjoubi; and Claim No. 96 - Ben Mahjoubi. 04/23/13 Draft Notice of Objection to Claim - Claim No. 24 - Mansoor Alyeshmerni in connection with the Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claims of: Claim No. 7 - Jonathan Baharvar; Claim No. 10 - Manouchehr Tabibzadeh; Claim No. 24 Mansoor Alyeshmerni; Claim No. 34 - Mishel Sakhai; Claim No. 35 Kamran Raminfard; Claim No. 36 - Mani and Talia Raminfard; Claim No. 95 - Fred Mahjoubi; and Claim No. 96 - Ben Mahjoubi. 04/23/13 Draft Notice of Objection to Claim - Claim No. 34 - Mishel Sakhai in connection with the Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claims of: Claim No. 7 - Jonathan Baharvar; Claim No. 10 Manouchehr Tabibzadeh; Claim No. 24 - Mansoor Alyeshmerni; Claim No. 34 - Mishel Sakhai; Claim No. 35 - Kamran Raminfard; Claim No. 36 - Mani and Talia Raminfard; Claim No. 95 - Fred Mahjoubi; and Claim No. 96 - Ben Mahjoubi. 04/23/13 Draft Notice of Objection to Claim - Claim No. 35 - Kamran Raminfard in connection with the Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claims of: Claim No. 7 - Jonathan Baharvar; Claim No. 10 Manouchehr Tabibzadeh; Claim No. 24 - Mansoor Alyeshmerni; Claim No. 34 - Mishel Sakhai; Claim No. 35 - Kamran Raminfard; Claim No. 36 - Mani and Talia Raminfard; Claim No. 95 - Fred Mahjoubi; and Claim No. 96 - Ben Mahjoubi. 04/23/13 Draft Notice of Objection to Claim - Claim No. 36 - Mani and Talia Raminfard in connection with the Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claims of: Claim No. 7 - Jonathan Baharvar; Claim No. 10 - Manouchehr Tabibzadeh; Claim No. 24 - Mansoor Alyeshmerni; Claim No. 34 - Mishel Sakhai; Claim No. 35 - Kamran Raminfard; Claim No. 36 - Mani and Talia Raminfard; Claim No. 95 - Fred Mahjoubi; and Claim No. 96 - Ben Mahjoubi. 04/23/13 Draft Notice of Objection to Claim - Claim No. 95 - Fred Mahjoubi in connection with the Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claims of: Claim No. 7 - Jonathan Baharvar; Claim No. 10 Manouchehr Tabibzadeh; Claim No. 24 - Mansoor Alyeshmerni; Claim No. 34 - Mishel Sakhai; Claim No. 35 - Kamran Raminfard; Claim No. 36 - Mani and Talia Raminfard; Claim No. 95 - Fred Mahjoubi; and Claim No. 96 - Ben Mahjoubi. 04/23/13 Draft Notice of Objection to Claim - Claim No. 96 - Ben Mahjoubi in connection with the Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claims of: Claim No. 7 - Jonathan Baharvar; Claim No. 10 Atty AMV

September 26, 2013 Invoice 70324 Page 36


Hours 0.30 Amount 52.50

AMV

0.30

52.50

AMV

0.30

52.50

AMV

0.30

52.50

AMV

0.30

52.50

AMV

0.30

52.50

AMV

0.30

52.50

Exhibit 2, Page 36

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description Manouchehr Tabibzadeh; Claim No. 24 - Mansoor Alyeshmerni; Claim No. 34 - Mishel Sakhai; Claim No. 35 - Kamran Raminfard; Claim No. 36 - Mani and Talia Raminfard; Claim No. 95 - Fred Mahjoubi; and Claim No. 96 - Ben Mahjoubi. Review, organize and label exhibits (8) to Notices (8) and Chapter 11 Trustee's Omnibus Motion for Order Disallowing Claims of: Claim No. 7 Jonathan Baharvar; Claim No. 10 - Manouchehr Tabibzadeh; Claim No. 24 - Mansoor Alyeshmerni; Claim No. 34 - Mishel Sakhai; Claim No. 35 Kamran Raminfard; Claim No. 36 - Mani and Talia Raminfard; Claim No. 95 - Fred Mahjoubi; and Claim No. 96 - Ben Mahjoubi. Analysis of issues related to three Omnibus Motions objecting to claims that are not obligations of the Debtor and timing of filing of same. Commence review of Second Omnibus Motion Objecting to Claims and analysis of issues relating to need for rescheduling of hearing; prepare memo to R. Kido and M. Choi re same. Review and analyze legal argument objecting to claim No. 10 in ominbus claim objection. Review and analyze issues re objections to claims needing further documentation and improper guarantees. Telephone call with D. White re Vasquez's claim (POC 178) and Crawford Living Trust's claim (POC 187). Prepare withdrawal of claim forms for the Vasquez's claim (POC 178) and Crawford Living Trust's claim (POC 187). Review and analyze Vasquez's claim (POC 178) and Crawford Living Trust's claim (POC 187) in preparation for telephone call with D. White. Review and reply to multiple emails from D. White re documents requested re Vasquez's claim (POC 178) and Crawford Living Trust's claim (POC 187). Draft communication to D. White re withdrawal of claim forms for the Vasquez's claim (POC 178) and Crawford Living Trust's claim (POC 187). Revise the Notice of Motion and Trustee's Second Omnibus Motion for Order Disallowing the Following Claims: Claim No. 117 Morad Radfar or Pavaneh Radfar, Trustee of the Radfar Family Trust; Claim No. 135 Fereshteh Kohanim; Claim No. 136 Behnam Souroudi Retirement Trust; Claim No. 137 Behnam Souroudi Retirement Trust; work on the Table of Contents and the Table of Authorities. Review and revise for final Omnibus obj pldings re Baharvar, et al Review files and compile the exhibits to the Trustee's Second Omnibus Motion for Order Disallowing the Following Claims: Claim No. 117 Morad Radfar or Pavaneh Radfar, Trustee of the Radfar Family Trust; Claim No. 135 Fereshteh Kohanim; Claim No. 136 Behnam Souroudi Retirement Trust; Claim No. 137 Behnam Souroudi Retirement Trust. Atty

September 26, 2013 Invoice 70324 Page 37


Hours Amount

04/23/13

AMV

0.80

140.00

04/23/13 04/23/13 04/23/13 04/23/13 04/24/13 04/24/13 04/24/13 04/24/13 04/24/13 04/24/13

ELL ELL MC MRD RMK RMK RMK RMK RMK ELL

0.40 0.30 0.10 0.20 0.20 0.20 0.20 0.20 0.20 1.50

78.00 58.50 22.50 75.00 60.00 60.00 60.00 60.00 60.00 292.50

04/25/13 04/25/13

LMS ELL

0.40 0.50

210.00 97.50

Exhibit 2, Page 37

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 04/25/13 Review and revise the Request for Judicial Notice in Support of Chapter 11 Trustee's Second Omnibus Motion for Order Disallowing the Following Claims: Claim No. 117 Morad Radfar or Pavaneh Radfar, Trustee of the Radfar Family Trust; Claim No. 135 Fereshteh Kohanim; Claim No. 136 Behnam Souroudi Retirement Trust; Claim No. 137 Behnam Souroudi Retirement Trust; work on service list. 04/25/13 Draft Notice of Objection to Claim related to Claim No. 117 Morad Radfar or Pavaneh Radfar, Trustee of the Radfar Family Trust; Claim No. 135 Fereshteh Kohanim; Claim No. 136 Behnam Souroudi Retirement Trust and Claim No. 137 Behnam Souroudi Retirement Trust. 04/25/13 Review files and compile exhibits to the Trustee's Third Omnibus Motion for Order Disallowing the Following Claims: Claim No. 144 Khalil Varastehpour; Claim No. 152 The Yasmin Family 1999 Limited Partnership; Claim No. 158 Iraj Farhadian fbo Farhadian Family Trust; Claim No. 163 Bijan Nahai; Claim No. 197 Princeton Holdings, LLC; Claim No. 231 Elodie Khavarani. 04/25/13 Review and analyze status of claims and speak to Chair re proposed action. 04/25/13 Prepare weekly updates to unsecured creditors website. 04/26/13 Revise the Notice of Omnibus Motion and Trustee's Third Omnibus Motion for Order Disallowing the Following Claims: Claim No. 144 Khalil Varastehpour; Claim No. 152 The Yasmin Family 1999 Limited Partnership; Claim No. 158 Iraj Farhadian fbo Farhadian Family Trust; Claim No. 163 Bijan Nahai; Claim No. 197 Princeton Holdings, LLC; Claim No. 231 Elodie Khavarani; work on the Table of Contents and Table of Authorities; compile final with all exhibits. 04/26/13 Review and revise the Request for Judicial Notice in Support of Chapter 11 Trustee's Third Omnibus Motion for Order Disallowing the Following Claims: Claim No. 144 Khalil Varastehpour; Claim No. 152 The Yasmin Family 1999 Limited Partnership; Claim No. 158 Iraj Farhadian fbo Farhadian Family Trust; Claim No. 163 Bijan Nahai; Claim No. 197 Princeton Holdings, LLC; Claim No. 231 Elodie Khavarani; work on service list and prepare for final. 04/26/13 Draft Notice of Objection to Claim related to Claim No. 144 Khalil Varastehpour; Claim No. 152 The Yasmin Family 1999 Limited Partnership; Claim No. 158 Iraj Farhadian fbo Farhadian Family Trust; Claim No. 163 Bijan Nahai; Claim No. 197 Princeton Holdings, LLC; Claim No. 231 Elodie Khavarani; compile final with Motion attached to each. 04/26/13 Revise the Notice of Motion and Trustee's Second Omnibus Motion for Order Disallowing the Following Claims: Claim No. 117 Morad Radfar or Pavaneh Radfar, Trustee of the Radfar Family Trust; Claim No. 135 Fereshteh Kohanim; Claim No. 136 Behnam Souroudi Retirement Trust; Claim No. 137 Behnam Souroudi Retirement Trust; compile final with all Atty ELL

September 26, 2013 Invoice 70324 Page 38


Hours 0.40 Amount 78.00

ELL

0.90

175.50

ELL

0.80

156.00

LMS MRD ELL

0.50 0.10 1.70

262.50 37.50 331.50

ELL

0.60

117.00

ELL

1.60

312.00

ELL

0.60

117.00

Exhibit 2, Page 38

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 04/26/13 Description exhibits. Prepare for final the Request for Judicial Notice in Support of Chapter 11 Trustee's Second Omnibus Motion for Order Disallowing the Following Claims: Claim No. 117 Morad Radfar or Pavaneh Radfar, Trustee of the Radfar Family Trust; Claim No. 135 Fereshteh Kohanim; Claim No. 136 Behnam Souroudi Retirement Trust; Claim No. 137 Behnam Souroudi Retirement Trust. Revise the Notice of Objection to Claim related to Claim No. 117 Morad Radfar or Pavaneh Radfar, Trustee of the Radfar Family Trust; Claim No. 135 Fereshteh Kohanim; Claim No. 136 Behnam Souroudi Retirement Trust; and Claim No. 137 Behnam Souroudi Retirement Trust; compile final with Motion attached to each. Prepare for service and electronic filing with the Court the following documents: (1) Notice of Motion and Trustee's Third Omnibus Motion for Order Disallowing the Following Claims: Claim No. 144 Khalil Varastehpour; Claim No. 152 The Yasmin Family 1999 Limited Partnership; Claim No. 158 Iraj Farhadian fbo Farhadian Family Trust; Claim No. 163 Bijan Nahai; Claim No. 197 Princeton Holdings, LLC; Claim No. 231 Elodie Khavarani; (2) Notice of Objection to Claim (6) and (3) Request for Judicial Notice in Support. Prepare for service and electronic filing with the Court the following documents: (1) Notice of Motion and Trustee's Second Omnibus Motion for Order Disallowing the Following Claims: Claim No. 117 Morad Radfar or Pavaneh Radfar, Trustee of the Radfar Family Trust; Claim No. 135 Fereshteh Kohanim; Claim No. 136 Behnam Souroudi Retirement Trust; Claim No. 137 Behnam Souroudi Retirement Trust; (2) Notice of Objection to Claim (3); and (3) Request for Judicial Notice in Support. Review and revise for final Omnibus objectiob to claims re Radfar et al. Review and revise Omnibus objection to claim for final re Varastapour et al. Prepare Judge's copy of Motions objecting to claims (2), Notices of Objection to Claim (9) and Request for Judicial Notice (2) and coordinate delivery of same to Chambers as required by Local Rules. Review of status of claim objections and work on strategies for completion of objections or resolution with claimants re issues. Review and analyze issues re M. Alyeshmerni's claim (POC 24) and lack of personal guaranty. Telephone conference with E. Alyeshmerni re objection filed to his claim. Email with U. Raanan re withdrawal of POC No. 197 Review and analyze issues re fourth omnibus claim objection for claims which were improperly asserted against the Debtor (POC 30, 109, 116). Review and reply to email from U. Raanan re SC LLC actions and holding off on objections; update chart re same. Atty ELL

September 26, 2013 Invoice 70324 Page 39


Hours 0.20 Amount 39.00

04/26/13

ELL

0.30

58.50

04/26/13

ELL

1.30

253.50

04/26/13

ELL

0.90

175.50

04/27/13 04/27/13 04/29/13 04/29/13 04/29/13 04/29/13 04/30/13 05/01/13 05/01/13

LMS LMS ELL RMK RMK MRD MC RMK RMK

0.40 0.40 0.40 0.60 0.30 0.10 0.10 0.30 0.10

210.00 210.00 78.00 180.00 90.00 37.50 22.50 90.00 30.00

Exhibit 2, Page 39

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 05/01/13 Email with U. Raanan and D. Meadows re withdrawal of objection to Princeton Holdings LLC Claim 05/02/13 Prepare Notice of Withdrawal of Trustee's Objection to Claim number 197 filed by Princeton Holdings, LLC. 05/02/13 Telephone call from B. Mahjoubi re objection to his claim (POC 96) and his fathers (POC 95). 05/02/13 Draft communication to B. Mahjoubi re claims filed in Namco bankruptcy case. 05/02/13 Review and analyze issues re Mahjoubi claims (POC 95, 96). 05/02/13 Review and finalize notice of withdrawal of claim objection to Princeton Holdings LLC only 05/03/13 Prepare email to E. Alyeshmerni re further documentation of guarantee. 05/03/13 Review and analyze issues re objection to Cushman & Wakefield of Washington, D.C. (POC 109). 05/03/13 Review and analyze issue re objection to S. Alyeshmerni's claim (POC 224). 05/03/13 Review and analyze correspondence from E. Alyeshmerni re any documents in support of guarantee of Namco claim. 05/03/13 Prepare and file a Notice of Withdrawal of Trustee's Objection to Claim number 197 Princeton Holdings LLC Only. 05/03/13 Review and analyze correspondence re status of objections to claims. 05/06/13 Review and reply to commnuications from U. Raanan re objection to A. Nahai's claim. 05/06/13 Review and analyze correspondence re objection to claims with one line guarantee. 05/07/13 Review and analyze issues re objection to I. Farhadian's claim (POC 158). 05/07/13 Email with J. Far-hadian re Trustee's objection to POC 158 05/08/13 Prepare for and attend hearing on the omnibus objections to the following claims: Paradigm (POC 149), Paradign (POC 150), Soraya Soofer (POC 30), Cushman & Wakefield of Washington, D.C. (POC 109) and SRF Investments LLC (POC 116). 05/08/13 Draft order approving omnibus objection to Paradigm claims (POC 149, 150). 05/08/13 Draft order disallowing the following claims: Soraya Soofer (POC 30), Cushman & Wakefield (POC 109) and SRF Investments, LLC (POC 116). 05/08/13 Draft communication to U. Raanan re hearing on the omnibus objections to the following claims: Paradigm (POC 149), Paradign (POC 150), Soraya Soofer (POC 30), Cushman & Wakefield of Washington, D.C. (POC 109) and SRF Investments LLC (POC 116). 05/08/13 Multiple telephone conferences with M. Radfar re Trustee's objection to claim Atty MC SPS RMK RMK RMK MC MRD RMK RMK MRD SPS MRD RMK MRD RMK MC RMK

September 26, 2013 Invoice 70324 Page 40


Hours 0.10 0.80 0.40 0.10 0.30 0.20 0.10 0.30 0.20 0.10 0.90 0.20 0.20 0.10 0.30 0.20 3.30 Amount 22.50 140.00 120.00 30.00 90.00 45.00 37.50 90.00 60.00 37.50 157.50 75.00 60.00 37.50 90.00 45.00 990.00

RMK RMK RMK

0.30 0.40 0.20

90.00 120.00 60.00

MC

0.80

180.00

Exhibit 2, Page 40

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 05/08/13 Telephone conference with J. Far-hadian re Trustee's objection to POC 158 05/09/13 Review and analyze issues re telephone calls re objections to claims. 05/10/13 Research re forwarding address for Cushman & Wakefield of Texas, Inc. (related to Claim number 109); prepare memo to R. Kido re same. 05/14/13 Review and reply to email from S. Koenig re objection to secured claims. 05/15/13 Review ECF email re filing of amended Proof of Claim by Bank of Nevada; access and obtain Proof of Claim and initial review of same; update the service list for Federal Rule of Bankruptcy Procedure 2002 notices regarding same. 05/28/13 Review ECF email and obtain amended Proof of Claim filed by Starpoint Properties, LLC. 05/28/13 Review Notice of Withdrawal of Proofs of Claim (Claim Nos. 488-490 and 492-503). 05/29/13 Review ECF email and obtain amended Proof of Claim filed by Princeton Holdings, LLC (Claim No. 197). 05/29/13 Review Notice of Withdrawal of Proof of Claim filed by Princeton Holdings, LLC (Claim No. 247). 06/05/13 Telephone conference with E. Alyeshmerni re payment to one line guarantee claimants; discuss same with L. Shulman. 06/06/13 Review and analyze issues re one line guarantees; prepare detailed instructions for crafting remaining objections on the issues. 06/07/13 Draft Notice of Chapter 11 Trustee's Fifth Omnibus Motion for Order Disallowing Claims: Claim No. 39 - 87th Peoria, LLC. 06/07/13 Draft Notice of Chapter 11 Trustee's Fifth Omnibus Motion for Order Disallowing Claims: Claim No. 157 - Ramin Gabayan. 06/07/13 Draft Notice of Chapter 11 Trustee's Fifth Omnibus Motion for Order Disallowing Claims: Claim No. 189 - The MMN Family Trust. 06/10/13 Review and finalize fifth omnibus motion for order disallowing claims for being improperly asserted against the Debtor. 06/10/13 Review and finalize request for judicial notice filed in support of fifth omnibus motion for order disallowing claims for being improperly asserted against the Debtor. 06/10/13 Analysis of issues re filing of Omnibus Motion objecting to claims. 06/11/13 Review and revise notice of withdrawal of claim for Vasquez's proof of claim (POC 178). 06/11/13 Review and revise notice of withdrawal of claim for Crawford Living Trust's proof of claim (POC 187). 06/11/13 Prepare Notice of Withdrawal of Claim No. 178-1 of Ernesto and Socorro Vasquez; compile final with Withdrawal of Claim. 06/11/13 Prepare Notice of Withdrawal of Claim No. 187-1 of The Crawford Family Trust Dated September 23, 1983; compile final with Withdrawal of Atty MC RMK ELL RMK ELL

September 26, 2013 Invoice 70324 Page 41


Hours 0.30 0.30 0.40 0.10 0.10 Amount 67.50 90.00 78.00 30.00 19.50

ELL ELL ELL ELL MRD LMS AMV AMV AMV RMK RMK ELL RMK RMK ELL ELL

0.10 0.10 0.10 0.10 0.20 0.70 0.30 0.30 0.30 0.40 0.20 0.10 0.10 0.10 0.40 0.40

19.50 19.50 19.50 19.50 75.00 367.50 52.50 52.50 52.50 120.00 60.00 19.50 30.00 30.00 78.00 78.00

Exhibit 2, Page 41

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 06/11/13 06/11/13 06/12/13 06/13/13 06/14/13 06/14/13 06/14/13 06/14/13 Description Claim. Revise and prepare for final the Notice of Withdrawal of Claim No. 1871 of The Crawford Family Trust Dated September 23, 1983 and prepare for electronic filing with the Court. Revise and prepare for final the Notice of Withdrawal of Claim No. 1781 of Ernesto and Socorro Vasquez and prepare for electronic filing with the Court. Telephone conference with Mr. Doran re status of case. Prepare email to U. Raanan re status of his review and approval of Omnibus Motion for Order Disallowing Claims. Draft communication to U. Raanan re fifth omnibus objection to claims. Review and reply to communication from U. Raanan re including brief discussion re stipulated judgment in the objection to Peoria's claim. Draft multiple communications to U. Raanan re revisions to fifth omnibus claim, specifically objection to Peoria's claim. Review and revise fifith omnibus claim to include brief discussion re stipulated judgment between the Debtor and Peoria. Atty ELL ELL MRD ELL RMK RMK RMK RMK RMK RMK RMK ELL ELL

September 26, 2013 Invoice 70324 Page 42


Hours 0.20 0.20 0.10 0.10 0.10 0.10 0.20 0.40 0.10 0.40 0.10 0.20 1.10 Amount 39.00 39.00 37.50 19.50 30.00 30.00 60.00 120.00 30.00 120.00 30.00 39.00 214.50

06/14/13 Review and revise request for judicial notice to include stipulated judgment entered into between the Debtor and Peoria. 06/14/13 Review and finalize fifth omnibus claim objection. 06/14/13 Review and finalize request for judicial notice in support of fifth omnibus claim objection. 06/14/13 Analysis of issues related to Motion objecting to claims and timing of filing same. 06/14/13 Review and revise the Notice of Motion and Trustee's Omnibus Motion for Order Disallowing Claims: Claim No./Claimant No. 39 - 87th Peoria, LLC, No. 157 - Ramin Gabayan and No. 189 - The MMN Family Trust; compile final with all exhibits. 06/14/13 Revise and prepare for final the Request for Judicial Notice in support of the Trustee's Omnibus Motion for Order Disallowing Claims: Claim No./Claimant No. 39 - 87th Peoria, LLC, No. 157 - Ramin Gabayan and No. 189 - The MMN Family Trust. 06/14/13 Revise and compile final of the three Notice of Objection to Claim related to the Trustee's Omnibus Motion for Order Disallowing Claims: Claim No./Claimant No. 39 - 87th Peoria, LLC, No. 157 - Ramin Gabayan and No. 189 - The MMN Family Trust. 06/14/13 Prepare for service and electronic filing with the Court the Notice of Objection to Claim (3) and the Trustee's Omnibus Motion for Order Disallowing Claims: Claim No./Claimant No. 39 - 87th Peoria, LLC, No. 157 - Ramin Gabayan and No. 189 - The MMN Family Trust and Request for Judicial Notice; prepare Judge's copy of documents for submission to Chambers as required by Local Rules. 06/14/13 Review and analyze issues re S. Alyeshmerni's proof of claim and

ELL

0.30

58.50

ELL

0.70

136.50

ELL

1.10

214.50

RMK

0.30

90.00

Exhibit 2, Page 42

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 06/14/13 06/17/13 06/18/13 06/19/13 06/19/13 Description Trustee's objection re same for lack of guaranty. Review and analyze multiple correspondence re claim objections and guarantees in Namvar case. Review and approve for final omnibus claim objection pleadings. Communications with clients re issues with claims work. Review ECF email re confirmation of docketing of hearing on the Omnibus Motion Objecting to Claims scheduled for July 16, 2013. Review ECF email re filing of amended Proof of Claim by Theodore Kohan; Business to Business Markets, Inc.; Arizona Tempe Town Lake LLC; access and obtain Proof of Claim and update the service list for F.R.B.P. 2002 notices re same. Communications with Chair and prepare instructions re claims administrative issues. Review claims tracking chart. Communications with clients re issues with claim objections and proposed additional work requested. Telephone conference with U. Ranaan re one line guarantee claims. Review and analyze issues re status of claim objections and outstanding issues which need to be addressed. Atty MRD LMS LMS ELL ELL

September 26, 2013 Invoice 70324 Page 43


Hours 0.20 0.50 0.30 0.10 0.10 Amount 75.00 262.50 157.50 19.50 19.50

06/20/13 06/21/13 06/21/13 06/24/13 06/24/13

LMS ELL LMS MRD RMK MRD RMK MRD MRD RMK MC MRD MRD MC MRD RMK MRD

0.40 0.10 0.40 0.40 0.70 0.60 0.40 0.10 0.40 0.60 0.40 0.10 0.10 0.20 0.20 0.40 0.40

210.00 19.50 210.00 150.00 210.00 225.00 120.00 37.50 150.00 180.00 90.00 37.50 37.50 45.00 75.00 120.00 150.00

06/24/13 Review and analyze issues re objections to secured claims and multiple duplicate claims. 06/24/13 Conference call with U. Raanan and M. Lowe re status of claim objections, how to handle M. Alyeshmerni's claims, and one line guarantees. 06/24/13 Telephone conference (left message for J. Osborne) re duplicate claims of Yacoobian entities. 06/24/13 Review and analyze alleged secured claims to which to object. 06/26/13 Review and analyze issues re E. Khavarani's claim against Namvar and identical claim against Namco. 06/26/13 Review and analyze correspondence from T. Khavarani re Omnibus Claim Objection against POC No. 231. 06/26/13 Review and analyze multiple correspondence re claims objections on multiple duplicate claims. 06/27/13 Telephone conference with J. Osborne re Yacoobian claims. 06/27/13 Propose strategy re responding to correspondence on claim filed by E. Khavarani. 06/28/13 Telephone conference with E. Alyeshmerni re continuance of hearing on claim objection; discuss with U. Raanan. 06/28/13 Review and analyze issues re claims lacking documentation in preparation for hearing. 07/01/13 Prepare for hearing on motions to disallow claims lacking sufficient

Exhibit 2, Page 43

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 07/02/13 07/02/13 07/02/13 07/02/13 07/02/13 07/03/13 07/03/13 07/03/13 07/03/13 07/03/13 07/03/13 07/03/13 07/08/13 07/08/13 Description documentation. Final preparations for and attend hearing on objection to claims lacking proper documentation. Review and analyze claims filed by M. Sakhai in Namco and in Namvar bankruptcy case. Review and analyze issues re claim of M. Sakhai and his assertion that he has a claim against the Estate. Review and analyze issues re D. Kavarani claim and response re debt owed by Namvar and other claims objections re further documentation needed. Telephone conference with Mishel Sakhai regarding committee's objection to his claim and his request to additional time to respond and move hearing date. Review and analyze Reply to Third Omnibus Motion for Order Disallowing Claim No. 152 of the Yamin Family 1999 Limited Partnership. Draft communication to U. Raanan re Reply to Third Omnibus Motion for Order Disallowing Claim No. 152 of the Yamin Family 1999 Limited Partnership and recommendations re reply to same. Draft order approving omnibus motion objecting to claims which lack documentation. Review and analyze correspondence from U. Raanan re filing Reply to filed oppositions to Trustee's Objection to Claim No. 152. Review and reply to communication from U. Raanan re Reply to Third Omnibus Motion for Order Disallowing Claim No. 152 of the Yamin Family 1999 Limited Partnership and recommendations re reply to same. Review and analyze filed Response to Trustee's Objection to Claim 152 and supporting declaration. Review and analyze responses to various objections to claims; instructions for hearing. Prepare stipulation and order to continue hearing on objection to claim of M. Alyeshmerni; correspondence with claimant re same. Review and analyze attached exhibit re alleged collateral pledge by Debtor in support of Response to Trustee's Objection to Claim No. 152. Atty MRD MC RMK MRD SPS RMK RMK RMK MC RMK MC LMS MRD MC MC MC MRD MC MC

September 26, 2013 Invoice 70324 Page 44


Hours 1.40 0.30 0.40 0.30 0.30 0.30 0.40 0.30 0.20 0.10 0.40 0.70 0.40 0.40 0.20 1.20 0.20 0.20 0.30 Amount 525.00 67.50 120.00 112.50 52.50 90.00 120.00 90.00 45.00 30.00 90.00 367.50 150.00 90.00 45.00 270.00 75.00 45.00 67.50

07/08/13 Review and analyze attached exhibit re payoff demand by claimant in support of Reply to Trustee's Objection to Claim No 152. 07/08/13 Prepare Reply filing in support of the Trustee's Objection to Claim No. 152. 07/09/13 Review and revise reply to opposition of Yamin Trust to disallow claim. 07/09/13 Review and revise Reply to Opposition to Claim Objection re Claim No. 152 by the Yamin Family Partnership. 07/09/13 Review suggestions from U. Raanon and make corresponding amendments to Reply in support of Claim Objection to Claim No 152, and

Exhibit 2, Page 44

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 07/09/13 07/09/13 07/09/13 07/09/13 07/09/13 07/10/13 07/10/13 07/11/13 Description provide instructions for filing. Telephone call from Karen at Judge Russell's chambers re status report on the Cushman claim. Draft status report re motion objecting to Cushman & Wakefield Claim (No. 109). Review and revise status report re motion objecting to Cushman & Wakefield Claim (No. 109). Prepare Reply in Support of Trustee's Third Omnibus Motion for Order Disallowing Claim No. 152 for service and e-filing with the Court. Prepare correspondence for U. Raanan re proposed Reply to opposition to claim objection re Claim No. 152. Review and revise status report re motion objecting to Cushman & Wakefield Claim (No. 109). Review and revise reply to responses to objs to claims by various claimants. Review and analyze order continuing hearing on objection to claim of E. Alyeshmerni. Atty RMK RMK RMK SPS MC RMK LMS MRD LMS MRD MRD MRD RMK RMK MRD MRD MRD RMK RMK RMK MC

September 26, 2013 Invoice 70324 Page 45


Hours 0.10 0.40 0.20 0.60 0.10 0.10 0.40 0.10 0.20 0.20 2.10 0.20 0.60 0.10 0.10 0.10 0.90 0.20 0.60 0.40 0.40 Amount 30.00 120.00 60.00 105.00 22.50 30.00 210.00 37.50 105.00 75.00 787.50 75.00 180.00 30.00 37.50 37.50 337.50 60.00 180.00 120.00 90.00

07/11/13 Review and revise report re Cushman objection to claim. 07/12/13 Review and analyze issues re objections to secured claims and duplicative claims. 07/12/13 Review and revise motion for order disallowing claims as secured claims. 07/12/13 Discuss with U. Ranaan re objection to claims alleging personal guaranties. 07/12/13 Review of chart re claim objections and work on strategies for finalizing remaining objections to claims. 07/12/13 Review and analyze email from U. Raanan re M. Alyeshmerni's claim (POC 24) and continued hearing on claim objection re same. 07/15/13 Multiple correspondence with W. Oetzell re duplicative claims of Laskas. 07/15/13 Prepare email to J. Ozbirn re resolving duplicative claims of Yacoobians. 07/15/13 Review and revise motion for order reclassifying secured claims to unsecured claims and related request for judicial notice. 07/15/13 Review and revise request for judicial notice in support of objection to secured claims. 07/15/13 Review and revise omnibus claim objection to secured claims to include correspondence sent to Shaw Blackstone re security interest alleged in their claim. 07/15/13 Review and analyze status of claim objections and all documents sent re claim objections in preparation for hearing on the omnibus objections to claims (lack of documentation). 07/15/13 Review and analyze filed Request for Judicial Notice by Yamin Family Trust re request for continuance on account of filed dischargeability complaint.

Exhibit 2, Page 45

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 07/15/13 Review and analyze docket and status of adversary proceeding of nondischargeability complaint filed by claimant POC 152. 07/15/13 Review and analyze issues re objections to Yamin claims. 07/15/13 Review and analyze request for judicial notice filed in support of Yamin claim's response to trustee's objection. 07/15/13 Review and analyze issues re Yamin claim's response to trustee's objection. 07/15/13 Propose strategy to allow continuance of claim objection as to POC 152. 07/16/13 Review and analyze issues re objection to the MMN Family Trust's claim. 07/16/13 Draft order approving second omnibus motion objecting to claims (POC 117, 135, 136, 137). 07/16/13 Draft order approving fourth omnibus motion objecting to Cushman & Wakefield claim (POC 109) 07/16/13 Draft order approving fifth omnibus motion objecting to claims (POC 39, 157, 189). 07/16/13 Draft order approving third omnibus motion objecting to claims (POC 144, 152, 158, 163, 231). 07/16/13 Draft order approving first omnibus motion objecting to claims (POC 1, 10, 24, 34, 35, 36, 95, 96). 07/16/13 Provide instructions to M. Choi re speaking to claimants without personal claims against E. Namvar case. 07/16/13 Draft communication to U. Raanan and T. Neilson re result of hearings on the omnibus claims objecting to debts that are not debts of the debtor. 07/16/13 Review and revise chart re status of resolution to claims with objections. 07/16/13 Prepare for, travel to, and appear at hearings on Trustee's omnibus claim objections as claims against Namco and not against the Debtor. 07/16/13 Prepare correspondence for U. Raanan re status of claims 7, 10, 34, and 189. 07/16/13 Review and analyze status of disallowed claimants as filed claims in Namco Estate. 07/17/13 Review and analyze issues re additional objections which may be asserted against claimants with claims lacking evidence of a security interest. 07/17/13 Telephone conference with Trustee of MMN Family Trust re claim filed in Namco Estate. 07/17/13 Prepare email for E. Negari of MMN Family Trust re claim filed in Namco Estate. 07/17/13 Review correspondence from U. Raanan re status of disallowed claims filed in Namco Case. 07/17/13 Review and analyze issues re personal guarantee claimants filing claims in Namco case. 07/17/13 Draft Notice of Lodgment of Order Granting Chapter 11 Trustee's First Atty MC MRD RMK RMK MC RMK RMK RMK RMK RMK RMK MRD RMK RMK MC MC MC RMK MC MC MC MRD AMV

September 26, 2013 Invoice 70324 Page 46


Hours 0.40 0.30 0.20 0.30 0.20 0.30 0.20 0.20 0.30 0.30 0.30 0.20 0.20 0.60 4.50 0.20 0.40 0.40 0.20 0.20 0.20 0.20 0.40 Amount 90.00 112.50 60.00 90.00 45.00 90.00 60.00 60.00 90.00 90.00 90.00 75.00 60.00 180.00 1,012.50 45.00 90.00 120.00 45.00 45.00 45.00 75.00 70.00

Exhibit 2, Page 46

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description Omnibus Motion Disallowing Claims: Claim No. 7 - Jonathan Baharvar; Claim No. 10 - Manouchehr Tabibzadeh; Claim No. 24 - Mansoor Alyeshmerni; Claim No. 34 - Mishel Sakhai; Claim No. 35 - Kamran Raminfard; Claim No. 95 Fred Mahjoubi; and Claim No. 96 - Ben Mahjoubi. 07/17/13 Draft Notice of Lodgment of Order Granting Chapter 11 Trustee's Third Omnibus Motion Disallowing Claims: Claim No. 144 - Khalil Varastehpour; Claim No. 152 - The Yasmin Family 1999 Limited Partnership; Claim No. 158 - Iraj Farhadian fbo Farhadian Family Truste; Claim No. 163 - Bijan Nahai; Claim No. 197 - Princeton Holdings, LLC; and Claim No. 231 - Elodie Khavarani. 07/17/13 Draft Notice of Lodgment of Order Granting Chapter 11 Trustee's Fifth Omnibus Motion Disallowing Claims: Claim No. 39 - 87th Peoria, LLC, Claim No. 157 - Ramin Gabayan, and Claim No. 189 - The MMN Family Trust. 07/17/13 Review and revise objections to claims of Inland Mortgage, Shaw Blackstone and Wilshire State Bank. 07/17/13 Review and analyze results of hearing in objections to claims re lack of consideration; prepare instructions. 07/19/13 Review and analyze issues re duplicative claims and attempts to resolve without objection. 07/23/13 Review and revise motion to disallow duplicate claims of Yacoobian parties. 07/23/13 Review and analyze issues re duplicate Laska claims. 07/23/13 Draft request for judicial notice in support of motion to disallow duplicate claims of Yacoobian parties. 07/24/13 Review and revise omnibus objection to disallow Yacoobian claims on grounds of being duplicative. 07/25/13 Discuss with U. Raanan re objection to duplicate claims of Yacoobians. 07/25/13 Review and revise motion to disallow duplicate and disputed claims of Yacoobian parties to add section relating to claims being unliquidated and disputed. 07/25/13 Telephone conference with Stacy re hearing date for motion objecting to Yacoobian claims. 07/25/13 Review and revise request for judicial notice in support of motion to disallow duplicate claims of Yacoobian parties. 07/26/13 Review and analyze correspondence from G. Elmer objection to Yacoobian claims. 07/26/13 Telephone conference with G. Elmer re information to include in claim objections. Atty

September 26, 2013 Invoice 70324 Page 47


Hours Amount

AMV

0.40

70.00

AMV

0.40

70.00

LMS LMS MRD MRD MRD MRD RMK MRD MRD MRD MRD MRD MRD

1.30 0.40 0.20 1.40 0.10 0.30 0.40 0.30 2.20 0.10 0.40 0.10 0.10

682.50 210.00 75.00 525.00 37.50 112.50 120.00 112.50 825.00 37.50 150.00 37.50 37.50

Exhibit 2, Page 47

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description 07/26/13 Review and analyze issues re remaining objections to claims to be made. 07/26/13 Email to and from E. Alyeshmerni re questions on his opposition to motion to disallow claim. 07/26/13 Communications with Trustee tax counsel and prepare instructions re issues with debtor's books and records and making law of case. 07/26/13 Review and approve for final another set of objections to claims. 07/29/13 Review and analyze open claim issues; prepare instructions for upcoming hearings. 07/30/13 Review and analyze issues re objections to claims re personal guarantees. 07/31/13 Telephone conference with E. Kohani re status of case. 08/01/13 Telephone call from E. Denis re claim against the estate and documents received. 08/06/13 Review and reply to communication from N. Cowen re Paris claims. 08/06/13 Review and analyze correspondence from N. Cowen re claims for C. Paris. 08/09/13 Review and analyze correspondence from J. Ozbirn re new counsel for Yacoobians. 08/12/13 Review correspondence from U. O'Raanan re order sustaining Trustee's objection to POC 95 filed by F. Mahjoubi. 08/12/13 Review and analyze issues re objection to F. Mahjoubi's claim and claim filed in Namco bankruptcy. 08/13/13 Draft facsimile to M. Radfar re claims filed in the Namvar and Namco bankruptcies. 08/13/13 Telephone conference with E. Alyeshmerni re objection to his claim and possible resolution. 08/19/13 Telephone conference with A. Baylash re change of address form. 08/19/13 Review and analyze issues re claim filed by B. Broukhim 08/19/13 Review ECF email re filing of Proof of Claim by Anthony Khosrow Mirzaie and Susan Mirzaie; access and obtain Proof of Claim; update the claims tracking chart and the service list for F.R.B.P. 2002 notices re same. 08/21/13 Telephone conference with E. Alyeshmerni re filing of opposition to motion objecting to claim. 08/21/13 Review and analyze correspondence from E. Alyeshmerni re opposition to objection to claim. 08/26/13 Email to and from S. Golditch and others re claim of E. Alyeshmerni. 08/27/13 Review Notice of Withdrawal of Proof of Claim #90 Filed by Wells Fargo Bank, N.A. as Trustee. 08/29/13 Review and analyze issues and prepare instructions for 9/3 hearing on Omnibus objections. 08/30/13 Review and analyze correspondence from M. Asheghian re creditors' Atty MRD MRD LMS LMS LMS MRD MRD RMK RMK MRD MRD MC RMK RMK MRD MRD RMK ELL

September 26, 2013 Invoice 70324 Page 48


Hours 0.30 0.10 0.50 0.40 0.50 0.30 0.10 0.20 0.10 0.10 0.10 0.20 0.20 0.10 0.20 0.10 0.10 0.10 Amount 112.50 37.50 262.50 210.00 262.50 112.50 37.50 60.00 30.00 37.50 37.50 45.00 60.00 30.00 75.00 37.50 30.00 19.50

MRD MRD MRD ELL LMS MRD

0.10 0.10 0.20 0.10 0.40 0.10

37.50 37.50 75.00 19.50 210.00 37.50

Exhibit 2, Page 48

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 09/03/13 09/03/13 09/04/13 09/04/13 09/05/13 Description needing further explanation from trustees. Review and analyze open issues and prepare final instructions for hearing. Prepare for and attend hearing on the motion objecting to M. Alyeshmerni's proof of claim. Draft order approving motion to disallow M. Alyeshmerni's claim. Draft Notice of Lodgment of Order Approving Chapter 11 Trustee's Omnibus Motion Disallowing Claim No. 24 - Mansoor Alyeshmerni. Review ECF email re filing of amended Proof of Claim by Paul and Judith Laska Family Trust of Oct. 9, 1997; access and obtain Proof of Claim and initial review of same; update the claims tracking chart and the service list for F.R.B.P. notices re same. Review Notice of Withdrawal of Claim No. 44 and Claim No. 179 by Paul and Judith Laska; update claims tracking chart re same. Review and analyze issues to finalize motion objecting to secured claims. Review and analyze documents supporting secured claim of S. Shakib re objection. Telephone conference with J. Ozbirn re claims of Yacoobians. Telephone conference with U. Raanan re claim of S. Shakib; provide notes to file re same. Review and revise motion to disallow secured claims. Prepare email to S. Oh re further information on Wilshire State Bank claim. Subtotal Total Fees Atty LMS RMK RMK AMV ELL

September 26, 2013 Invoice 70324 Page 49


Hours 0.30 4.30 0.30 0.20 0.10 Amount 157.50 1,290.00 90.00 35.00 19.50

09/05/13 09/13/13 09/16/13 09/19/13 09/19/13 09/19/13 09/25/13

ELL MRD MRD MRD MRD MRD MRD 342.20 342.20

0.10 0.40 0.20 0.10 0.30 0.20 0.10

19.50 150.00 75.00 37.50 112.50 75.00 37.50 96,505.50 96,505.50

Exhibit 2, Page 49

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS September 26, 2013 Invoice 70324 Page 50

Costs Date 09/24/12 09/26/12 09/28/12 09/28/12 09/28/12 10/02/12 10/02/12 10/02/12 10/02/12 10/08/12 10/18/12 10/24/12 12/31/12 01/18/13 01/23/13 01/28/13 01/30/13 01/31/13 01/31/13 01/31/13 01/31/13 01/31/13 01/31/13 02/01/13 02/05/13 02/05/13 02/19/13 02/19/13 02/19/13 02/25/13 02/25/13 02/25/13 Description Access and review PACER database for; Claims Register Photocopy; Objection to Claim Attorney and Messenger Service; Inv.2399000;09/28/2012;File and return conformed copies of Docs Attorney and Messenger Service; Inv.5031291;09/26/2012;File and return conformed copies of File/Conform/Return Attorney and Messenger Service; Inv.5031331;09/27/2012;File and return conformed copies of Reply to Oppo Access and review PACER database for; Claims Register Access and review PACER database for; Image26379018-0 Access and review PACER database for; Claims Register Access and review PACER database for; Claims Register Photocopy; Objection to Claim Photocopy; Objection to Claim Access and review PACER database for; Claims Register Computer Research; Inv. 1212015447;12/31/12;Computer research ; Lexis Nexis Access and review PACER database for; Claims Register Access and review PACER database for; Claims Register Access and review PACER database for; Claims Register Photocopy; Objection to Claim Access and review PACER database for; Claims Register Access and review PACER database for; Image29692164-0 Access and review PACER database for; Docket Report Access and review PACER database for; Associated Cases Access and review PACER database for; Image1430-0 Access and review PACER database for; Image1449-0 Attorney and Messenger Service; Inv.5049515;02/01/2013;File and return conformed copies of Ntc and Mtn Access and review PACER database for; Claims Register Photocopy; Objection to Claim Access and review PACER database for; Image24423026-0 Access and review PACER database for; Image24423026-1 Access and review PACER database for; Claims Register Access and review PACER database for; Docket Report Access and review PACER database for; Image397-0 Access and review PACER database for; Image737-0 Amount 2.52 11.00 8.00 8.00 8.00 0.48 0.96 0.60 0.12 102.80 54.00 3.60 13.95 2.64 2.64 2.64 35.00 2.64 0.12 7.20 0.36 3.24 0.84 8.00 3.60 16.80 0.96 0.96 3.60 3.60 1.08 0.60

Exhibit 2, Page 50

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 02/25/13 02/25/13 02/25/13 02/25/13 02/25/13 02/25/13 02/25/13 02/25/13 02/25/13 02/25/13 02/28/13 03/07/13 03/07/13 03/13/13 03/13/13 03/13/13 03/13/13 03/13/13 03/13/13 03/13/13 03/20/13 03/22/13 03/22/13 03/22/13 03/22/13 03/22/13 03/26/13 03/31/13 04/02/13 04/05/13 04/05/13 04/05/13 04/05/13 04/05/13 04/05/13 04/17/13 04/17/13 04/17/13 Description Access and review PACER database for; Docket Report Access and review PACER database for; Associated Cases Access and review PACER database for; Image9-0 Access and review PACER database for; Image15-0 Access and review PACER database for; Image15-0 Access and review PACER database for; Image16-0 Access and review PACER database for; Image16-0 Access and review PACER database for; Image17-0 Access and review PACER database for; Image13-0 Access and review PACER database for; Docket Report Computer Research; Inv. 1302015372;2/28/13;Computer Research ; Lexis Nexis Photocopy; Motion Postage Access and review PACER database for; Claims Register Access and review PACER database for; Claims Register Access and review PACER database for; Claims Register Access and review PACER database for; Docket Report Access and review PACER database for; Image770-0 Access and review PACER database for; Image770-1 Access and review PACER database for; Image770-2 Access and review PACER database for; Claims Register Access and review PACER database for; Docket Report Access and review PACER database for; Image373-0 Access and review PACER database for; Image391-0 Access and review PACER database for; Image392-0 Access and review PACER database for; Docket Report Access and review PACER database for; Docket Report Computer Research; Inv. 13030115329;3/31/13;Computer research ; Lexis Nexis Photocopy; Objection to Claim Access and review PACER database for; Docket Report Access and review PACER database for; Image1925-0 Access and review PACER database for; Image1925-1 Access and review PACER database for; Image2114-0 Access and review PACER database for; Claims Register Access and review PACER database for; Image30126189-0 Photocopy; Objection to Claim Postage Postage

September 26, 2013 Invoice 70324 Page 51


Amount 5.04 2.76 0.84 0.48 0.60 0.48 0.84 0.48 0.96 0.84 16.53 10.20 2.52 0.60 0.12 3.60 3.60 3.60 3.60 3.60 2.64 7.20 3.60 0.84 0.60 3.60 3.60 17.89 477.00 3.60 0.96 3.60 2.16 0.12 0.24 155.00 8.85 5.60

Exhibit 2, Page 51

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 04/17/13 04/17/13 04/17/13 04/19/13 04/24/13 04/24/13 04/24/13 04/26/13 04/26/13 04/26/13 04/26/13 04/26/13 04/29/13 05/01/13 05/02/13 05/03/13 05/03/13 05/08/13 05/10/13 05/10/13 05/10/13 05/20/13 05/20/13 05/20/13 06/11/13 06/11/13 06/11/13 06/11/13 06/11/13 06/11/13 06/14/13 06/14/13 06/14/13 06/14/13 06/24/13

September 26, 2013 Invoice 70324 Page 52


Amount 5.60 5.60 5.60 8.00 349.60 13.50 44.80 330.00 7.56 7.45 5.80 15.12 67.60 1.92 3.72 8.00 8.00 85.00 1.32 12.00 58.58 5.60 0.66 1.98 2.28 2.04 5.20 0.66 0.66 0.66 140.40 9.75 8.16 5.80 3.60

Description Postage Postage Postage Attorney and Messenger Service; Inv. 5050544;4/19/13;file and return conformed copies of order Photocopy; Objection to Claim Postage Postage Photocopy; Objection to Claim Postage Postage Postage Postage Photocopy; Objection to Claim Access and review PACER database for; Docket Report Access and review PACER database for; Claims Register Attorney and Messenger Service; Inv.5050687;04/29/2013;File and return conformed copies of Ntc of Objection;Mtn;RJN Attorney and Messenger Service; Inv.5050739;05/03/2013;File and return conformed copies of Notice drop off in bin suite 1660 Photocopy; Objection to Claim Postage Postage Computer Research; Inv. 1304015304;4/30/13;Computer Research ; Lexis Nexis Photocopy; Objection to Claim Postage Postage Access and review PACER database for; Claims Register Access and review PACER database for; Docket Report Photocopy; Objection to Claim Postage Postage Postage Photocopy; Objection to Claim Postage Postage Postage Access and review PACER database for; Claims Register

Exhibit 2, Page 52

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 06/25/13 06/26/13 06/26/13 06/26/13 06/26/13 06/26/13 07/02/13 07/03/13 07/03/13 07/03/13 07/03/13 07/08/13 07/08/13 07/08/13 07/10/13 07/10/13 07/10/13 07/11/13 07/12/13 07/16/13 07/16/13 07/16/13 07/16/13 07/16/13 07/16/13 07/17/13 07/17/13 07/17/13 07/17/13 07/17/13 07/17/13 07/17/13 07/23/13 07/25/13 07/25/13 07/26/13 Description Access and review PACER database for; Docket Report Access and review PACER database for; Claims Register Access and review PACER database for; Image30687111-0 Access and review PACER database for; Docket Report Access and review PACER database for; Image2132-0 Access and review PACER database for; Image2152-0 Access and review PACER database for; Image25366115-0 Access and review PACER database for; Claims Register Photocopy; Order Postage Postage Photocopy; Stipulation to Continue Hearing Postage Postage Photocopy; Objection to Claim Postage Postage Postage Attorney and Messenger Service; Inv.5051563;07/10/2013;File and return conformed copies of reply Federal Express; Inv. 2-334-46270;7/12/13;Overnight delivery on 7/10/13 to M. Berger, Beverly Hills; Federal Express Access and review PACER database for; Claims Register Access and review PACER database for; Docket Report Access and review PACER database for; Image1477-0 Photocopy; Order Postage Access and review PACER database for; Claim History Access and review PACER database for; Claims Register Photocopy; Order Postage Postage Postage Postage Access and review PACER database for; Claims Register Access and review PACER database for; Claims Register Photocopy; Objection to Claim Attorney and Messenger Service; Inv.5051815;07/26/2013;File and return conformed

September 26, 2013 Invoice 70324 Page 53


Amount 2.28 10.92 1.08 7.20 1.08 1.32 0.36 3.60 6.20 1.98 1.32 7.80 0.66 2.12 7.80 1.92 0.66 0.66 8.00 8.32 3.60 3.36 0.84 4.80 2.64 0.12 3.60 50.20 5.28 1.98 3.96 5.80 2.28 2.28 229.80 8.00

Exhibit 2, Page 53

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date 07/26/13 07/26/13 07/26/13 07/26/13 07/26/13 07/26/13 07/30/13 07/30/13 07/30/13 07/31/13 08/07/13 08/07/13 08/07/13 08/07/13 08/07/13 08/08/13 08/08/13 08/08/13 08/09/13 08/13/13 08/13/13 08/13/13 08/13/13 08/13/13 08/13/13 08/13/13 08/14/13 08/15/13 08/16/13 08/20/13 08/21/13 08/21/13 08/23/13 08/26/13 08/28/13 09/13/13 Description copies of Ntc of Mtn;Rjn;Ntc of Claim;Exhibits Photocopy; Objection to Claim Photocopy; Objection to Claim Photocopy; Objection to Claim Photocopy; Objection to Claim Postage Postage Access and review PACER database for; Claims Register Photocopy; Order Postage Computer Research; Inv. 1307015196;7/31/13;Computer Research ; Lexis Nexis Access and review PACER database for; Docket Report Access and review PACER database for; Image1497-0 Access and review PACER database for; Image1630-0 Access and review PACER database for; Image1631-0 Photocopy; Motion Access and review PACER database for; Docket Report Access and review PACER database for; Image292-0 Postage Postage Access and review PACER database for; Claims Register Access and review PACER database for; Claims Register Access and review PACER database for; Image25057718-0 Access and review PACER database for; Image27288487-0 Access and review PACER database for; Docket Report Access and review PACER database for; Claims Register Access and review PACER database for; Claims Register Parking; Parking expense at hearing on 7/16/13; Michelle Choi Postage Access and review PACER database for; Claims Register Postage Postage Postage Access and review PACER database for; Docket Report Access and review PACER database for; Claims Register Postage Access and review PACER database for; Claims Register

September 26, 2013 Invoice 70324 Page 54


Amount 130.00 56.00 16.20 74.00 3.44 6.60 3.60 30.80 13.86 39.12 2.88 1.92 1.32 1.44 7.80 3.60 1.68 56.12 2.76 2.28 3.60 1.20 2.04 3.60 3.60 2.28 8.00 0.46 2.28 0.46 0.46 0.46 3.60 5.88 0.46 2.40

Exhibit 2, Page 54

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description Total Disbursements

September 26, 2013 Invoice 70324 Page 55


Amount 3,201.18

Exhibit 2, Page 55

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS September 26, 2013 Invoice 70324 Page 56

**Claims Administration & Objections** Rika M. Kido Melissa R. Davis Michelle Choi Erlanna L. Lohayza Anne Marie Vernon Steve P. Swartzell Leonard M. Shulman

Fee Recap by Task Code 158.90 34.40 66.90 48.50 8.20 5.70 19.60 300.00 375.00 225.00 195.00 175.00 175.00 525.00 Subtotal 47,005.00 12,370.00 14,950.50 9,457.50 1,435.00 997.50 10,290.00 96,505.50

96,505.50

Exhibit 2, Page 56

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS September 26, 2013 Invoice 70324 Page 57

Fees by Month 9/1/2012 Davis, Melissa R. Kido, Rika M. Subtotal 10/1/2012 Davis, Melissa R. Kido, Rika M. Shulman, Leonard M. Subtotal 11/1/2012 Davis, Melissa R. Lohayza, Erlanna L. Shulman, Leonard M. Subtotal 12/1/2012 Choi, Michelle Davis, Melissa R. Kido, Rika M. Lohayza, Erlanna L. Subtotal 1/1/2013 Choi, Michelle Davis, Melissa R. Kido, Rika M. Lohayza, Erlanna L. Shulman, Leonard M. Subtotal 2/1/2013 Choi, Michelle Davis, Melissa R. Kido, Rika M. 6.80 1.20 30.30 1,530.00 450.00 9,090.00 34.30 2.00 19.50 21.50 2.30 7,717.50 750.00 5,850.00 4,192.50 1,207.50 19,717.50 3.40 0.70 7.70 0.20 663.00 227.50 1,925.00 39.00 2,854.50 0.60 0.10 0.40 195.00 19.50 210.00 424.50 6.70 2.90 0.40 2,177.50 725.00 210.00 3,112.50 2.60 2.70 845.00 675.00 1,520.00

Exhibit 2, Page 57

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Lohayza, Erlanna L. Shulman, Leonard M. Subtotal 3/1/2013 Choi, Michelle Davis, Melissa R. Kido, Rika M. Lohayza, Erlanna L. Shulman, Leonard M. Swartzell, Steve P. Subtotal 4/1/2013 Choi, Michelle Davis, Melissa R. Kido, Rika M. Lohayza, Erlanna L. Shulman, Leonard M. Swartzell, Steve P. Vernon, Anne Marie Subtotal 5/1/2013 Choi, Michelle Davis, Melissa R. Kido, Rika M. Lohayza, Erlanna L. Swartzell, Steve P. Subtotal 6/1/2013 Choi, Michelle Davis, Melissa R. Kido, Rika M. Lohayza, Erlanna L. Shulman, Leonard M. Vernon, Anne Marie 0.60 2.40 4.60 5.10 2.30 0.90 135.00 900.00 1,380.00 994.50 1,207.50 157.50 1.60 0.50 6.80 0.90 1.70 360.00 187.50 2,040.00 175.50 297.50 3,060.50 9.50 1.50 30.10 12.40 5.10 0.40 5.90 2,137.50 562.50 9,030.00 2,418.00 2,677.50 70.00 1,032.50 17,928.00 0.50 0.80 41.10 1.30 1.60 2.70 112.50 300.00 12,330.00 253.50 840.00 472.50 14,308.50 6.60 2.40

September 26, 2013 Invoice 70324 Page 58


1,287.00 1,260.00 13,617.00

Exhibit 2, Page 58

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Subtotal 7/1/2013 Choi, Michelle Davis, Melissa R. Kido, Rika M. Shulman, Leonard M. Swartzell, Steve P. Vernon, Anne Marie Subtotal 8/1/2013 Choi, Michelle Davis, Melissa R. Kido, Rika M. Lohayza, Erlanna L. Shulman, Leonard M. Subtotal 9/1/2013 Davis, Melissa R. Kido, Rika M. Lohayza, Erlanna L. Shulman, Leonard M. Vernon, Anne Marie Subtotal Total Fees 342.20 1.30 4.60 0.20 0.30 0.20 487.50 1,380.00 39.00 157.50 35.00 2,099.00 96,505.50 0.20 1.00 0.70 0.20 0.40 45.00 375.00 210.00 39.00 210.00 879.00 10.00 13.10 7.90 4.40 0.90 1.20 2,250.00 4,912.50 2,370.00 2,310.00 157.50 210.00 12,210.00

September 26, 2013 Invoice 70324 Page 59


4,774.50

Exhibit 2, Page 59

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS September 26, 2013 Invoice 70324 Page 60

Monthly Fees Task Recap Date 09/2012 **Claims Administration & Objections** Subtotal 10/2012 **Claims Administration & Objections** Subtotal 11/2012 **Claims Administration & Objections** Subtotal 12/2012 **Claims Administration & Objections** Subtotal 01/2013 **Claims Administration & Objections** Subtotal 02/2013 **Claims Administration & Objections** Subtotal 03/2013 **Claims Administration & Objections** Subtotal 04/2013 **Claims Administration & Objections** Subtotal 05/2013 **Claims Administration & Objections** 11.50 3,060.50 64.90 17,928.00 17,928.00 48.00 14,308.50 14,308.50 47.30 13,617.00 13,617.00 79.60 19,717.50 19,717.50 12.00 2,854.50 2,854.50 1.10 424.50 424.50 10.00 3,112.50 3,112.50 5.30 1,520.00 1,520.00 Description Hours Amount

Exhibit 2, Page 60

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Subtotal 06/2013 **Claims Administration & Objections** Subtotal 07/2013 **Claims Administration & Objections** Subtotal 08/2013 **Claims Administration & Objections** Subtotal 09/2013 **Claims Administration & Objections** Subtotal Total Fees 342.20 6.60 2,099.00 2,099.00 96,505.50 2.50 879.00 879.00 37.50 12,210.00 12,210.00 15.90 4,774.50 4,774.50

September 26, 2013 Invoice 70324 Page 61


3,060.50

Exhibit 2, Page 61

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS September 26, 2013 Invoice 70324 Page 62

Cost Recap by Task Code PACER charges Attorney and Messenger service Photocopy Computer Research Postage Federal Express Parking Subtotal Total Disbursements 216.48 72.00 2,466.60 146.07 283.71 8.32 8.00 3,201.18 3,201.18

Exhibit 2, Page 62

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Monthly Cost Task Recap Date Description Attorney and Messenger Service Pacer Photocopy Subtotal Amount 24.00 2.52 11.00 37.52 5.76 156.80 Subtotal 162.56 13.95 Subtotal 13.95 22.32 35.00 Subtotal 57.32 8.00 16.53 27.72 16.80 Subtotal 69.05 17.89 40.80 10.20 2.52 Subtotal 71.41 8.00

September 26, 2013 Invoice 70324 Page 63

09/2012

10/2012
Pacer Photocopy

12/2012
Other Services

01/2013
Pacer Photocopy

02/2013
Attorney and Messenger Service Other Services Pacer Photocopy

03/2013
Other Services Pacer Photocopy Postage

04/2013
Attorney and Messenger Service

Exhibit 2, Page 63

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description Pacer Photocopy Postage Subtotal

September 26, 2013 Invoice 70324 Page 64


Amount 10.68 1,379.20 125.48 1,523.36 16.00 58.58 5.64 90.60 15.96 Subtotal 186.78 31.80 145.60 25.69 Subtotal 203.09 16.00 8.32 39.12 23.64 613.60 52.88 Subtotal 753.56 43.20 8.00 7.80 61.18 Subtotal 120.18 2.40

05/2013
Attorney and Messenger Service Other Services Pacer Photocopy Postage

06/2013
Pacer Photocopy Postage

07/2013
Attorney and Messenger Service Federal Express Other Services Pacer Photocopy Postage

08/2013
Pacer Parking Photocopy Postage

09/2013
Pacer

Exhibit 2, Page 64

Shulman Hodges & Bastian LLP R. Todd Neilson Re: Claims Work/Neilson-11TT I.D. 3985-001 - LMS
Date Description Subtotal Total Costs

September 26, 2013 Invoice 70324 Page 65


Amount 2.40 3,201.18

Exhibit 2, Page 65

EXHIBIT 3 Biographies

PARTNERS SHULMAN, LEONARD M., born Los Angeles, California, June 1, 1961; Admitted to bar, 1986, California, U.S. District Court, Central, Eastern, Northern and Southern Districts of California. Education: University of California at San Diego (B.A. Magna Cum Laude, 1983); University of San Diego (J.D. 1986). Regent Scholar. Member: 1984-1986 and Comments Editor, 19851986, University of San Diego Law Review. Author: "Compensation for Collegiate Athletes: A Run for More Than Roses" 22 San Diego Law Review 701 (1986); Case Note, "Matter of Western Electronics, Inc.," 16 Cal. Bankr. J. 23 (Winter, 1988); Article, "Reasonable Reliance on a False Financial Statement," 17 Cal. Bankr. J. 225, 1989. Co-Author, Article "A Retrospect: 1989 Ninth Circuit Bankruptcy Decisions," Cal. Bankr. J. 1990. Author: Article, "Abatement of a Landlord's Rights under the Shopping Center Amendments: Section 365(d)(2) Does Not Mean What It Says," 18 Cal. Bankr. J. 851, 1990; "In re Mercado: Enjoining the Collection Efforts of a Holder of a Nondischargeable Claim," Norton Bankruptcy Law Advisor, October, 1991; "Armed and Dangerous: Continuation of a Receiver in Bankruptcy, "Norton Bankruptcy Law Advisor, May 1992; "Is It Fair and Equitable to Alter the Bargained-for Exchange," The Bankruptcy Strategies, June 1992. Supergeneric Descriptions of Debtors Holdings Wont Do, Los Angeles Daily Journal, Business Law Section, August, 2005. A Debtors Right to Silence in a Bankruptcy Proceeding, Orange County Lawyer, September 2005; Running On Empty: The Limitations Period On Installment Obligations, Orange County Business Journal, November 2006. Featured Speaker: "Pitfalls of Practice in Bankruptcy Court, Central District of California," December 1989, San Diego Bar Association; "How Reasonable Must Reliance Be on a False Financial Statement?" May 1990, Orange County Bar Association; "Bankruptcy in Today's Real Estate Market," February 1991, California Real Estate Investment Forum; "Automatic Stay -- Pitfalls of Practice," December 1991, Orange County Bar Association Creditors' Rights Section; "Automatic Stay -- Pitfalls of Practice," June 1992, Orange County Paralegal Association; "Representation of Creditors= Committees" (April 1993, Orange County Paralegal Association). Panelist: "Litigating Nondischargeability Actions" December 1990, Orange County Bankruptcy Forum; "Litigating Preference Actions," June 1991, Orange County bankruptcy Forum; "Handling a Chapter 11 Case," January 1992, Continuing Education of the Bar; "Bankruptcy Issues for the Real Estate Practitioner," June 1992, Orange County Bankruptcy Forum; "Bankruptcy Evidence I: Overcoming Evidentiary Roadblocks" (June 1992, Orange County Bankruptcy Program). "1994 Bankruptcy Reform Act" (November, 1994, Orange County Bankruptcy Forum); "Handling a Chapter 11 Reorganization The Right Way" (January 1994, CEB). Small Business Chapter 11 Bankruptcies (January 2008, Orange County Bankruptcy Forum); Moderator: "Employment of Professionals In Bankruptcy" (March 1994, Orange County Bar Association (Commercial Law and Bankruptcy Section); "What Price Justice: Is There an Exception to the Absolute Priority Rule?" January 1993, Orange County Bankruptcy Forum; "Law Practice Management for Bankruptcy Practitioners," April 1993, Orange County Bankruptcy Forum. Memberships: Member, Board of Directors, Orange County Bankruptcy Forum, 1991-1995 (Past President, 1995); California State Bar Association 1986 Present. Member, Board of Directors, Pediatric Cancer Research Foundation (President 2006-2007). HODGES, RONALD S., born Santa Monica, California, December 29, 1964; admitted to California Bar, 1990; admitted to Bar in District of Columbia, Court of Appeal, 1992; U.S. District Court, Central District of California, Northern District of California, 1996. Education: Loyola Marymount University (B.A. 1987); Loyola University School of Law (J.D. 1990). Recipient, American Jurisprudence Award: Trial Skills. Formerly: Judicial Extern to the Honorable Harvey A. Schneider, Superior Court of California, Los Angeles, 1989. Memberships: American Bar Association; California State Bar Association; Orange County Bar Association; Riverside County Bar Association; Defense Research Institute; Association of Southern California Defense Counsel. ASSOCIATES KIDO, RIKA M., born Tokyo, Japan, March 12, 1981; admitted to the California Bar, 2010; admitted to the U.S. District Court, Central District of California, 2010. Education: Middlebury College (B.A., 2003); University of California, San Diego (M.P.I.A., 2007); University of San Francisco School of Law (J.D., 2010). Recipient, CALI Excellence for the Future Award for highest grade in Legal Research & Writing I, Legal Research & Writing II, and International Business Transactions. Technical Editor, 2008, Assistant Literary Editor, 2008-2009, and Literary Editor, 2009-2010, USF Maritime Law Journal. Co-Author: Operator, Can You Get Me an Extension? Extending the Automatic Stay to Non-Debtor Parties, 30 CAL. BANKR. J. 361 (2010). LOWE, MELISSA DAVIS, Melissa is a member of the firms Bankruptcy and Reorganization department and is a resident of the Irvine office. Ms. Lowe graduated magna cum laude from the Honors College at the University of Arizona with a B.S.B.A. in Finance in 2003. Ms. Lowe earned her J.D. in 2006 from Loyola Law School in Los Angeles and earned her Tax LL.M. from Loyola Law School in 2008. During law school, Ms. Lowe was a staff member of the Loyola Entertainment Law Review and a Scott Moot Court competitor and competed as a finalist in the American Bar Association Law Student Tax Challenge. She also held several leadership positions at the University of Arizona and at Loyola, including President of Phi Alpha Delta. Ms. Lowe is admitted to practice before the United States District Court for the Central, Southern, and Eastern District of California and all the courts of the State of California. Ms. Lowe is active in the community. She is a member of the Orange County Bankruptcy

EXHIBIT 3 - PAGE 1

Forum, serving as its Secretary for 2011 and Vice President for 2012, and of the Orange County Bar Association, and is active in the Junior League of Orange County, California, as well as her church. CHOI, MICHELLE S., Michelle is a member of the firms Bankruptcy and Reorganization department. Ms. Choi graduated from the University of California, San Diego in 2008 with a B.A. in Sociology and a minor emphasis in Law and Society, placing on the deans honor roll in multiple semesters. Prior to entering law school, Ms. Choi taught classes and tutored students in preparation for the LSAT. Ms. Choi received her law degree in 2012 from The University of Michigan Law School, where she served as the Vice President of the Asian Pacific American Law Student Association. During the summer after her first year of law school, Ms. Choi served as a judicial extern to the Honorable Jamoa A. Moberly (Orange County Superior Court, Civil Division). Ms. Choi studied abroad in 2011 at the University of College London in Great Britain, with a focus on International Insolvency Law. Ms. Choi started with the firm as a summer clerk after her second year of law school, and returned to the firm upon graduating. Ms. Choi was admitted to the California Bar in 2012, and is admitted to practice before the United States District Court for the Central District of California. Ms. Choi was born and raised in Orange County, is involved with her church and with local politics in the City of Irvine, where she currently resides.

PARAPROFESSIONALS LOHAYZA, ERLANNA L., Education: Paralegal Program, University of California at Irvine, Extension, American Bar Association Certification (Completion 1996); Member: Orange County Paralegal Association. Formerly: Recording Secretary for Newport-Santa Ana Legal Secretaries Association (now known as NALS of Orange County), 2000-2002. CLAPP, LORRE, Education: California State University, Long Beach (B.A. 1978); Paralegal Program, University of California at Irvine, Extension. American Bar Association Certification (Completion 1985). SWARTZELL, STEVEN P., Education: Fullerton College (A.S. 1993), Paralegal Certificate Program, Fullerton College, American Bar Association Certification (Completion 1993); Member: Orange County Paralegal Association; West Coast Association of Paralegals. VERNON, ANNE MARIE, Education: Coastline Community College, Costa Mesa (A.A. 2004); Paralegal Program, Coastline Community College, American Bar Association Certification (Completion 2004). Member: Orange County Paralegal Association; Orange County Legal Secretaries Association.

EXHIBIT 3 - PAGE 2

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: 8105 Irvine Center Drive, Suite 600, Irvine, California 92618 A true and correct copy of the foregoing document entitled (specify): FIFTH INTERIM APPLICATION FOR APPROVAL OF FEES AND REIMBURSEMENT OF EXPENSES BY SHULMAN HODGES & BASTIAN LLP, ATTORNEYS FOR THE OFFICIAL COMMITTEE OF UNSECURED CREDITORS; AND SECOND INTERIM APPLICATION FOR APPROVAL OF FEES AND REIMBURSEMENT OF EXPENSES OF SHULMAN HODGES & BASTIAN LLP, SPECIAL CLAIMS COUNSEL FOR R. TODD NEILSON, CHAPTER 11 TRUSTEE; DECLARATION OF LEONARD M. SHULMAN IN SUPPORT THEREOF 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 stated below: 1. TO BE SERVED BY THE COURT VIA NOTICE OF ELECTRONIC FILING (NEF): Pursuant to controlling General Orders and LBR, the foregoing document will be served by the court via NEF and hyperlink to the document. On (date) September 26, 2013, I checked the CM/ECF docket for this bankruptcy case or adversary proceeding and determined that the following persons are on the Electronic Mail Notice List to receive NEF transmission at the email addresses stated below: Service information continued on attached page 2. SERVED BY UNITED STATES MAIL: On (date) September 26, 2013, I served the following persons and/or entities at the last known addresses 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 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. Debtor Ezri Namvar 12855 Parkyns Street Los Angeles, CA 90049 Interested Party Office of the U.S. Trustee 725 South Figueroa Street, Suite 2600 Los Angeles, CA 90017 Service information continued on attached page 3. SERVED BY PERSONAL DELIVERY, OVERNIGHT MAIL, FACSIMILE TRANSMISSION OR EMAIL (state method for each person or entity served): Pursuant to F.R.Civ.P. 5 and/or controlling LBR, on (date) September 26, 2013, I served the following persons and/or entities by personal delivery, overnight mail service, 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, or overnight mail to, the judge will be completed no later than 24 hours after the document is filed. Committee Member (via Email) Hersel Babajoni Email: namvar.hb@gmail.com; bacg07@gmail.com Chapter 11 Trustee (via Email) R. Todd Neilson BRG, LLP Email: tneilson@brg-expert.com Committee Member (via Email) Marc Asheghian Email: marcasheghian@taxconsultgroup.com Judges Copy (via Messenger) U.S. Bankruptcy Court Attn: Honorable Barry Russell 255 East Temple Street Bin Outside of Suite 1660 Los Angeles, CA 90012 Service information continued on attached page Committee Member (via Email) Elliott Sharaby Email: elliott@thefallstaffgroup.com

I declare under penalty of perjury under the laws of the United States that the foregoing is true and correct. September 26, 2012 Date Lorre Clapp Printed Name /s/ Lorre Clapp Signature

This form is mandatory. It has been approved for use by the United States Bankruptcy Court for the Central District of California. June 2012

F 9013-3.1.PROOF.SERVICE

NEF SERVICE LIST Theresa W Bangert on behalf of Creditor Inland Mortgage Capital Corporation tbangert@sheppardmullin.com Richard T Baum on behalf of Creditor BH Commercial Capital, Inc. rickbaum@hotmail.com, rickbaum@hotmail.com Michael Jay Berger on behalf of Interested Party Courtesy NEF michael.berger@bankruptcypower.com, jennifer.phan@bankruptcypower.com Stephen F Biegenzahn on behalf of Attorney Law Offices of Stephen F. Biegenzahn efile@sfblaw.com Christopher L Blank on behalf of Mediator Christopher Blank clblank@pacbell.net Linda M Blank on behalf of Mediator Linda Blank linda@lmblank.com Vivian Bodey on behalf of Counter-Claimant United States Of America vivian.bodey@irscounsel.treas.gov David W Brody on behalf of Creditor American Savings Bank dbrody@brody-law.com, bknotice@brody-law.com Alan F Broidy on behalf of Creditor Interested Party alan@broidylaw.com, sherrie@broidylaw.com Gillian N Brown on behalf of Interested Party Bradley D. Sharp, Chapter 11 Trustee for Namco Capital Group, Inc. gbrown@pszjlaw.com, gbrown@pszjlaw.com Richard W Brunette rbrunette@sheppardmullin.com NEF for interested party Rebecca A Caley on behalf of Creditor Financial Services Vehicle Trust, by and through its servicer, BMW Financial Services NA, LLC rcaley@caleylaw.com J Sheldon Capeloto on behalf of Interested Party Courtesy NEF jcapeloto@capelotolaw.com Candace Carlyon on behalf of Creditor Community Bank of Nevada ccarlyon@sheacarlyon.com Jeffrey D Cawdrey on behalf of Interested Party Garrison Credit Investments I, LLC jcawdrey@gordonrees.com, ebojorquez@gordonrees.com Sara Chenetz on behalf of Creditor BurBank LLC chenetz@blankrome.com, chang@blankrome.com;darling@blankrome.com Michelle S Choi mchoi@shbllp.com, sswartzell@shbllp.com NEF for the Trustee Carol Chow CChow@Stutman.com NEF for interested party Mark M Clairmont on behalf of Creditor Outsource Services Mgn. mclairmont@gersonlaw.com Yona Conzevoy on behalf of Interested Party Informal Credit Group of Namco and Namvar yconzevoy@dwclaw.com Dawn M Coulson on behalf of Interested Party Courtesy NEF dcoulson@swjlaw.com Ashleigh A Danker on behalf of Creditor Solomon Rastegar adanker@kayescholer.com, dclow@kayescholer.com;dhernandez@kayescholer.com Brian L Davidoff on behalf of Creditor Mousa Namvar bdavidoff@greenbergglusker.com, jreinglass@greenbergglusker.com;kwoodson@greenbergglusker.com Richard K Diamond on behalf of Attorney Danning Gill Diamond & Kollitz jlv@dgdk.com, rdiamond@ecf.epiqsystems.com;DanningGill@Gmail.com
This form is mandatory. It has been approved for use by the United States Bankruptcy Court for the Central District of California. June 2012

F 9013-3.1.PROOF.SERVICE

Richard K Diamond on behalf of Trustee R. Todd Neilson (TR) rdiamond@dgdk.com, DanningGill@gmail.com Caroline Djang on behalf of Interested Party Courtesy NEF crd@jmbm.com Mark Domeyer on behalf of Interested Party Courtesy NEF mdomeyer@mileslegal.com Joseph A Eisenberg on behalf of Interested Party Courtesy NEF jae@jmbm.com Lei Lei Wang Ekvall on behalf of Interested Party Courtesy NEF lekvall@wgllp.com James R Felton on behalf of Defendant Homa Sarshar jfelton@greenbass.com H Alexander Fisch on behalf of Creditor Canyon Springs Shopping Center, LLC, a California limited liability company afisch@stutman.com Michael G Fletcher on behalf of Creditor Carhay Bank mfletcher@frandzel.com, efiling@frandzel.com;shom@frandzel.com Heather Fowler on behalf of Interested Party Courtesy NEF heather.fowler@lw.com, colleen.rico@lw.com Jon H Freis on behalf of Interested Party Courtesy NEF jon@jhflaw.net Sandford Frey on behalf of Creditor Committee Official Unsecured Creditors' Committee of Namco Capital Group, Inc. Sfrey@cmkllp.com Jerome Bennett Friedman jfriedman@jbflawfirm.com, msobkowiak@jbflawfirm.com;jmartinez@jbflawfirm.com;sbiegenzahn@jbflawfirm.com NEF for interested party Amir Gamliel on behalf of Interested Party Garrison Credit Investments I, LLC agamliel@perkinscoie.com, cmallahi@perkinscoie.com Philip A Gasteier on behalf of Interested Party Courtesy NEF pag@lnbrb.com Randi R Geffner on behalf of Defendant Ezri Namvar rgeffner@wcclaw.com Randi R Geffner on behalf of Plaintiff Sam Sohrab Shakib rgeffner@wccelaw.com Thomas M Geher on behalf of Plaintiff Bradley Sharp tmg@jmbm.com Julia P Gibbs on behalf of Plaintiff Park General LLC legalgibbs@gmail.com Bernard R Given on behalf of Interested Party Courtesy NEF bgiven@loeb.com, mortiz@loeb.com Barry S Glaser on behalf of Creditor Paradigm Tax Group, LLC bglaser@swjlaw.com Jeffrey I Golden on behalf of Creditor Roya Boucherian jgolden@wgllp.com, kadele@wgllp.com Stanley E Goldich on behalf of Trustee R. Todd Neilson (TR) sgoldich@pszjlaw.com David Gould on behalf of Interested Party Courtesy NEF dgould@gglawllp.com Matthew Grimshaw on behalf of Interested Party Parviz Lavi mgrimshaw@rutan.com Irving M Gross on behalf of Interested Party Courtesy NEF img@lnbrb.com, angela@lnbrb.com Stacy W Harrison on behalf of Creditor DB Private Wealth Mortgage Ltd. Stacy.Harrison@bingham.com, rita.burnett@tempbingham.com Rochelle A Herzog on behalf of Creditor Interested Party rherzog294@gmail.com Kimberly D Howatt on behalf of Interested Party Garrison Credit Investments I, LLC khowatt@gordonrees.com

This form is mandatory. It has been approved for use by the United States Bankruptcy Court for the Central District of California. June 2012

F 9013-3.1.PROOF.SERVICE

William W Huckins on behalf of Creditor Robert Hanasab whuckins@allenmatkins.com, clynch@allenmatkins.com James KT Hunter on behalf of Trustee R. Todd Neilson (TR) jhunter@pszjlaw.com Allan H Ickowitz aickowitz@nossaman.com, mbonilla@nossaman.com NEF for interested party Eric P Israel on behalf of Trustee R. Todd Neilson (TR) eisrael@dgdk.com, danninggill@gmail.com Lemuel B Jaquez bjaquez@mileslegal.com NEF for interested party Seymone Javaherian on behalf of Interested Party Courtesy NEF sj@javlaw.com Peter F Jazayeri on behalf of Creditor BurBank LLC jazayeri@blankrome.com David Joe on behalf of Creditor Mousa Namvar djoe@rutterhobbs.com, calendar@rutterhobbs.com David S Kadin dsklaw@earthlink.net NEF for interested party David S Kadin dsklaw@earthlink.net NEF for interested party Jerome Kaplan on behalf of Plaintiff M & Y MANAGEMENT, INC. kapkenkd@pacbell.net, jeklaw@pacbell.net Rika Kido on behalf of Trustee R. Todd Neilson (TR) rkido@shbllp.com George H Kim on behalf of Interested Party Courtesy NEF george@gkimlaw.com Yale K Kim on behalf of Creditor Starpoint Properties, LLC ykim@allenmatkins.com Yi S Kim ykim@greenbass.com NEF for interested party Benjamin R King on behalf of Plaintiff Gordon Karsin bking@loeb.com, kpresson@loeb.com Stuart I Koenig on behalf of Creditor Benjamin Efraim Skoenig@cmkllp.com John P Kreis on behalf of Creditor DAN SHAVOLIAN jkreis@attglobal.net Jeffrey A Krieger on behalf of Creditor Starpoint Properties, LLC jkrieger@ggfirm.com, calendar@greenbergglusker.com;kwoodson@greenbergglusker.com Pamela Labruyere on behalf of Interested Party Courtesy NEF pamela@sgsslaw.com Jennifer Leland on behalf of Defendant Ezri Namvar jleland@peitzmanweg.com Melissa Davis on behalf of Creditor Committee Official Committee of Unsecured Creditors mdavis@shbllp.com Ron Maroko on behalf of U.S. Trustee United States Trustee (LA) ron.maroko@usdoj.gov Elmer D Martin on behalf of Accountant Elmer Martin Iii elmermartin@gmail.com Daniel J McCarthy on behalf of Defendant Nadar & Sons, LLC dmccarthy@hillfarrer.com, spadilla@hillfarrer.com;docket@hillfarrer.com Scotta E McFarland on behalf of Trustee R. Todd Neilson (TR) smcfarland@pszjlaw.com, smcfarland@pszjlaw.com Alexis M McGinness on behalf of Defendant Namco Capital Group amm@jmbm.com, vr@jmbm.com;fc3@jmbm.com David W. Meadows on behalf of Interested Party Beshmada of Delaware, LLC david@davidwmeadowslaw.com Neeta Menon on behalf of Defendant Mousa Namvar nmenon@btlaw.com

This form is mandatory. It has been approved for use by the United States Bankruptcy Court for the Central District of California. June 2012

F 9013-3.1.PROOF.SERVICE

Hal M Mersel on behalf of Creditor Wells Fargo Bank, N.A., as Trustee for the Registered Holders of J.P.Morgan Chase Commercial Mortgage Securities Corp., Commercial Mortgage Pass-Through Certificates, Series 2006-LDP7 mark.mersel@bryancave.com Lawrence C Meyerson on behalf of Creditor Drivers Way Investments, LLC lcmlaw@earthlink.net Elissa Miller on behalf of Creditor Bijan Kianmahd emiller@sulmeyerlaw.com, asokolowski@sulmeyerlaw.com Susan I Montgomery on behalf of Interested Party Susan Montgomery susan@simontgomerylaw.com Monserrat Morales on behalf of Debtor Ezri Namvar mmorales@peitzmanweg.com NEF for interested party Monserrat Morales mmorales@steptoe.com NEF for interested party Kerry A Moynihan on behalf of Interested Party Courtesy NEF kerry.moynihan@bryancave.com, raul.morales@bryancave.com;trish.penn@bryancave.com Randall P Mroczynski on behalf of Creditor Daimler Trust randym@cookseylaw.com Alan I Nahmias on behalf of Defendant The Paul and Judith Laska Family Trust anahmias@mbnlawyers.com, jdale@mirmanbubman.com R. Todd Neilson (TR) tneilson@brg-expert.com, vdoran@brg-expert.com; sgreenan@brgexpert.com; tneilson@ecf.epiqsystems.com R. Todd Neilson on behalf of Trustee R. Todd Neilson (TR) tneilson@ecf.epiqsystems.com, vdoran@brg-expert.com;sgreenan@brgexpert.com;tneilson@ecf.epiqsystems.com Christopher R Nelson cnelson@erlaw.com NEF for interested party Christopher R Nelson cnelson@erlaw.com NEF for interested party Michael S Neumeister mneumeister@stutman.com NEF for interested party David Norouzi on behalf of Interested Party Courtesy NEF david@norouzi.us William Novotny on behalf of Creditor MARISCAL WEEKS McINTYRE & FRIEDLANDER PA william.novotny@mwmf.com Walter K Oetzell on behalf of Debtor Ezri Namvar woetzell@dgdk.com, DanningGill@gmail.com Robert B Orgel on behalf of Trustee R. Todd Neilson (TR) rorgel@pszjlaw.com, rorgel@pszjlaw.com Randy P Orlik on behalf of Interested Party DEI X Partnership REIT, LP rorlik@coxcastle.com Malhar S Pagay on behalf of Interested Party Bradley D. Sharp, Chapter 11 Trustee for Namco Capital Group, Inc. mpagay@pszjlaw.com, mpagay@pszjlaw.com Jenny Y Park Garner on behalf of Interested Party Courtesy NEF jpark@sheppardmullin.com Lawrence Peitzman on behalf of Interested Party Courtesy NEF lpeitzman@peitzmanweg.com Leo D Plotkin on behalf of Creditor David and Mojgan York lplotkin@lsl-la.com, dsmall@lslla.com David M Poitras on behalf of Interested Party Bradley D. Sharp, Chapter 11 Trustee for Namco Capital Group, Inc. dpoitras@jmbm.com Samuel Price on behalf of Creditor Arizona Tempe Town Lake, LLC sprice@pooleshaffery.com
This form is mandatory. It has been approved for use by the United States Bankruptcy Court for the Central District of California.

June 2012

F 9013-3.1.PROOF.SERVICE

Uzzi O Raanan on behalf of Attorney Danning Gill Diamond & Kollitz uor@dgdk.com, DanningGill@Gmail.com Christopher S Reeder on behalf of Creditor Homayoun Namvar csreeder@rkmc.com Saul Reiss on behalf of Defendant Hersel Babajoni reisslaw@verizon.net Leslie T Riansanovsky on behalf of Creditor Federal Deposit Insurance Corporation, as receiver of Community Bank of Nevada lr@gallagherandmoore.com Ronald N Richards on behalf of Defendant Synergy Holding, LLC ron@ronaldrichards.com Jeremy E Rosenthal on behalf of Creditor REB Malibu, LLC jrosenthal@sidley.com Rachel S Ruttenberg on behalf of Plaintiff Parviz Lavi rruttenberg@gmail.com Neal Salisian on behalf of Defendant TN Management, LLC neal.salisian@salisianlee.com, richard.lee@salisianlee.com;christina.cordero@salisianlee.com Henley L Saltzburg on behalf of Creditor Homayoun Namvar hls@srblaw.com, ar@srblaw.com;lb2@srblaw.com Allan D Sarver on behalf of Interested Party Courtesy NEF ADSarver@aol.com Robert M Saunders on behalf of Interested Party Bradley D. Sharp, Chapter 11 Trustee for Namco Capital Group, Inc. rsaunders@pszjlaw.com, rsaunders@pszjlaw.com Steven J Schwartz on behalf of Plaintiff R. Neilson sschwartz@dgdk.com, DanningGill@gmail.com Stephanie M Seidl on behalf of Creditor Gordon Karsin sseidl@sheppardmullin.com Benjamin Seigel on behalf of Petitioning Creditor Abraham Assil bseigel@buchalter.com, IFS_filing@buchalter.com David Selki on behalf of Interested Party Courtesy NEF david@selki.com David B Shemano on behalf of Debtor Ezri Namvar dshemano@peitzmanweg.com Leonard M Shulman on behalf of Creditor Committee Official Committee of Unsecured Creditors lshulman@shbllp.com Nico N Tabibi on behalf of Interested Party Courtesy NEF nico@tabibilaw.com Sam Tabibian on behalf of Interested Party Courtesy NEF sam.tabibian@gmail.com Derrick Talerico on behalf of Interested Party Derrick Talerico dtalerico@loeb.com, kpresson@loeb.com David A Tilem on behalf of Non-Filing Spouse Ilana Namvar davidtilem@tilemlaw.com, malissamurguia@tilemlaw.com;dianachau@tilemlaw.com;joanfidelson@tilemlaw.com Alan G Tippie on behalf of Interested Party Courtesy NEF atippie@sulmeyerlaw.com, jbartlett@sulmeyerlaw.com;kfox@sulmeyerlaw.com United States Trustee (LA) ustpregion16.la.ecf@usdoj.gov Elissa A Wagner on behalf of Plaintiff Bradley Sharp ewagner@pszjlaw.com Matthew S Walker on behalf of Creditor Wells Fargo Bank, N.A., as Trustee for the Registered Holders of J.P.Morgan Chase Commercial Mortgage Securities Corp., Commercial Mortgage Pass-Through Certificates, Series 2006-LDP7 matthew.walker@pillsburylaw.com, sue.hodges@pillsburylaw.com;pamela.breeden@pillsburylaw.com Howard J Weg on behalf of Debtor Ezri Namvar hweg@peitzmanweg.com Michael H Weiss on behalf of Defendant Mobil 601 Plaza, LLC mw@weissandspees.com, lm@weissandspees.com;jb@weissandspees.com Monika S Wiener on behalf of Interested Party Courtesy NEF mwiener@jonesday.com
This form is mandatory. It has been approved for use by the United States Bankruptcy Court for the Central District of California.

June 2012

F 9013-3.1.PROOF.SERVICE

Katherine Winder on behalf of Interested Party Courtesy NEF kwinder@wcclaw.com, amillman@wccelaw.com Kimberly S Winick on behalf of Interested Party Courtesy NEF kwinick@clarktrev.com David M Wiseblood on behalf of Creditor BankFirst dwiseblood@seyfarth.com Richard Lee Wynne on behalf of Special Counsel Jones Day rlwynne@jonesday.com, sjperry@jonesday.com Mark T Young on behalf of Plaintiff Arizona Tempe Town Lakes, LLC myoung@donahoeyoung.com A David Youssefyeh on behalf of Creditor Jack & Gitta Nagel Foundation ady@adylaw.com Dean A Ziehl on behalf of Trustee R. Todd Neilson (TR) dziehl@pszjlaw.com, dziehl@pszjlaw.com

This form is mandatory. It has been approved for use by the United States Bankruptcy Court for the Central District of California. June 2012

F 9013-3.1.PROOF.SERVICE

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