Case KG Doc 4010 Filed 12/10/18 Page 1 of 13 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

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1 Case KG Doc 4010 Filed 12/10/18 Page 1 of 13 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re HH Liquidation, LLC, et al., Chapter 11 Case No (KG) (Jointly Administered) Debtors. 1 Objection Deadline: December 31, 2018 Hearing Date: TBD SECOND MONTHLY (FOR THE PERIOD APRIL 1, 2016 THROUGH NOVEMBER 20, 2018) AND FINAL APPLICATION OF MORRIS, NICHOLS, ARSHT & TUNNELL LLP FOR ALLOWANCE OF COMPENSATION AND REIMBURSEMENT OF EXPENSES AS SPECIAL LITIGATION COUNSEL TO THE DEBTORS AND DEBTORS IN POSSESSION FOR THE PERIOD FROM SEPTEMBER 8, 2015 THROUGH AND INCLUDING NOVEMBER 20, 2018 Name of Applicant: Authorized to provide Professional Services to: Date of Retention: Monthly Period for which compensation and reimbursement is sought: Amount of Monthly compensation sought as actual, reasonable and necessary: Amount of Monthly reimbursement sought as actual, reasonable and necessary: Morris, Nichols, Arsht & Tunnell LLP Debtors and Debtors In Possession September 8, 2015 April 16, 2016 through November 20, 2018 $2, $ The Debtors in these chapter 11 cases, along with the last four digits of each Debtors federal tax identification number, are: Haggen Holdings, LLC (7558), Haggen Operations Holdings, LLC (6341), Haggen Opco South, LLC (7257), Haggen Opco North (5028), Haggen Acquisition, LLC (7687), and Haggen, Inc. (4583). The mailing address for each of the Debtors is Aliso Creek Road, Suite B-1003, Aliso Viejo, CA

2 Case KG Doc 4010 Filed 12/10/18 Page 2 of 13 Final Period for which compensation and reimbursement is sought: Amount of Final compensation sought as actual, reasonable and necessary: Amount of Final reimbursement sought as actual, reasonable and necessary: September 8, 2018 through November 20, 2018 $30, $ This is a x monthly x final application If this is not the first application filed, disclose the following for each prior application: DATE FILED PERIOD COVERED REQUESTED FEES/EXPENSES APPROVED FEES/EXPENSES 9/11/17 D.I /8/15-3/31/16 $28,454.50/$ $28,454.50/$

3 Case KG Doc 4010 Filed 12/10/18 Page 3 of 13 Name of Professional Person Andrew R. Remming MONTHLY COMPENSATION BY PROFESSIONAL HH LIQUIDATION, LLC, ET AL. (Case No (KG)) April 1, 2016 through November 20, 2018 Position of the Applicant, Area of Expertise, Number of Years in that Position, Year Admitted to Bar. Partner/Bankruptcy. Joined firm as an associate in Member of the DE Bar since Hourly Billing Rate(s) (incl. changes & travel time billed at half rate) Total Hours Total Compensation $ Renae Fusco Paralegal , Angela R. Conway Paralegal Total 7.0 $2, GRAND TOTAL: $2, BLENDED RATE: $

4 Case KG Doc 4010 Filed 12/10/18 Page 4 of 13 MONTHLY COMPENSATION BY PROJECT CATEGORY HH LIQUIDATION, LLC, ET AL. (Case No (KG)) April 1, 2016 through November 20, 2018 Project Category Total Hours Total Fees Fee Applications (MNAT Filing) 6.6 $2, Fee Applications (MNAT Objections) TOTAL 7.00 $2, MONTHLY EXPENSE SUMMARY HH LIQUIDATION, LLC, ET AL. (Case No (KG)) April 1, 2016 through November 20, 2018 Expense Category Service Provider (if applicable) Total Expenses Court Costs $ In-House Duplicating Messenger Service Postage 5.46 Grand Total Expenses $

5 Case KG Doc 4010 Filed 12/10/18 Page 5 of 13 FINAL COMPENSATION BY PROFESSIONAL HH LIQUIDATION, LLC, ET AL. (Case No (KG)) September 8, 2015 through November 20, 2018 Name of Professional Person Position of the Applicant, Area of Expertise, Number of Years in that Position, Year of Obtaining License to Practice S. Mark Hurd Partner/Corporate Advisory. Partner since Joined firm as an associate in Member of the DE Bar since Eric D. Schwartz Gregory W. Werkheiser Andrew R. Remming Ryan D. Stottman Tamara K. Minott Matthew R. Koch Partner/Bankruptcy. Partner since Joined firm as an associate in Member of the DE Bar since Partner/Bankruptcy. Partner since Joined firm as an associate in Member of the DE Bar since Partner/Bankruptcy. Joined firm as an associate in Member of the DE Bar since Partner/Corporate Litigation. Joined firm as an associate in Member of the DE Bar since Associate/Bankruptcy. Joined the firm as an associate in Member of the DE Bar since Associate/Bankruptcy. Joined the firm as an associate in Hourly Billing Rate (including changes) Total Billed Hours Total Compensation $ , , , , Member of the DE Bar since Renae Fusco Paralegal , Marisa Maddox Paralegal Angela R. Conway Paralegal Total $30,

6 Case KG Doc 4010 Filed 12/10/18 Page 6 of 13 FINAL COMPENSATION BY PROJECT CATEGORY HH LIQUIDATION, LLC, ET AL. (Case No (KG)) September 8, 2015 through November 20, 2018 Project Category Total Hours Total Fees Case Administration.9 $ Fee Applications (MNAT Filing) 9.3 2, Fee Applications (MNAT Objections) Fee Applications (Others Filing) Claims Objections and Administration Litigation/Adversary Proceedings 4.7 2, Professional Retention (MNAT Filing) , TOTAL $30, FINAL EXPENSE SUMMARY HH LIQUIDATION, LLC, ET AL. (Case No (KG)) September 8, 2015 through November 20, 2018 Expense Category Service Provider (if applicable) Total Expenses Meals $10.00 Court Costs In-House Duplicating In-House Printing Courier/Delivery Service Computer Research Westlaw Messenger Service E-filing Pacer Postage 5.46 Grand Total Expenses $

7 Case KG Doc 4010 Filed 12/10/18 Page 7 of 13 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re HH Liquidation, LLC, et al., Chapter 11 Case No (KG) (Jointly Administered) Debtors. 1 Objection Deadline: December 31, 2018 Hearing Date: TBD SECOND MONTHLY (FOR THE PERIOD APRIL 1, 2016 THROUGH NOVEMBER 20, 2018) AND FINAL APPLICATION OF MORRIS, NICHOLS, ARSHT & TUNNELL LLP FOR ALLOWANCE OF COMPENSATION AND REIMBURSEMENT OF EXPENSES AS SPECIAL LITIGATION COUNSEL TO THE DEBTORS AND DEBTORS IN POSSESSION FOR THE PERIOD FROM SEPTEMBER 8, 2015 THROUGH AND INCLUDING NOVEMBER 20, 2018 Morris, Nichols, Arsht & Tunnell LLP ( Morris Nichols ), as special litigation counsel to the above-captioned debtors and debtors in possession (collectively, the Debtors ) submits this application (the Application ) for: (i) allowance of compensation for professional services rendered by Morris Nichols to the Debtors for the period April 1, 2016 through November 20, 2018 (the Monthly Application Period ); (ii) reimbursement of actual and necessary expenses incurred by Morris Nichols during the Monthly Application Period in rendering professional services on behalf of the Debtors; (iii) final allowance of reasonable compensation for professional services rendered by Morris Nichols to the Debtors for the period September 8, 2015 through November 20, 2018 (the Final Application Period ); and (iv) final 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtors federal tax identification number, are: Haggen Holdings, LLC (7558), Haggen Operations Holdings, LLC (6341), Haggen Opco South, LLC (7257), Haggen Opco North (5028), Haggen Acquisition, LLC (7687), and Haggen, Inc. (4583). The mailing address for each of the Debtors is Aliso Creek Road, Suite B-1003, Aliso Viejo, CA

8 Case KG Doc 4010 Filed 12/10/18 Page 8 of 13 reimbursement of actual and necessary expenses and disbursements incurred by Morris Nichols in rendering professional services on behalf of the Debtors during the Final Application Period, pursuant to sections 330 and 331 of title 11 of the United States Code (the Bankruptcy Code ), Rule 2016 of the Federal Rules of Bankruptcy Procedure (the Bankruptcy Rules ), Rule of the Local Rules of Bankruptcy Practice and Procedure of the United States Bankruptcy Court for the District of Delaware (the Local Rules ), the United States Trustee s Guidelines for Reviewing Applications for Compensation and Reimbursement of Expenses filed under 11 U.S.C. 330, effective January 30, 1996 (the U.S. Trustee Guidelines ) and the Order Establishing Procedures For Interim Compensation And Reimbursement Of Expenses For Retained Professionals (D.I. 408) (the Interim Compensation Procedures Order ). In support of this Application, Morris Nichols respectfully represents as follows: JURISDICTION 1. This Court has jurisdiction over this Application pursuant to 28 U.S.C. 157 and This is a core proceeding within the meaning of 28 U.S.C. 157(b)(2). Venue in this district is proper pursuant to 28 U.S.C and The statutory predicates for the relief requested herein are sections 330 and 331 of the Bankruptcy Code, as supplemented by Bankruptcy Rule 2016, Local Rule , and the Interim Compensation Procedures Order. PROCEDURAL BACKGROUND 3. On September 8, 2015 (the Petition Date ), the Debtors commenced these cases by filing voluntary petitions for relief under chapter 11 of the Bankruptcy Code. The Debtors continue to operate its business and manage its affairs as debtors and debtors in possession pursuant to sections 1107 and 1108 of the Bankruptcy Code. 2

9 Case KG Doc 4010 Filed 12/10/18 Page 9 of 13 MORRIS NICHOLS S RETENTION 4. The Debtors engaged Morris Nichols as special litigation counsel prior to the Petition Date. On November 25, 2015, the Debtors filed the Debtors Application For Entry Of An Order Authorizing The Employment And Retention Of Morris, Nichols, Arsht & Tunnell LLP As Delaware Special Litigation Counsel To The Debtors And Debtors In Possession Effective Nunc Pro Tunc To Petition Date (D.I. 853) (the Retention Application ). 5. The Court granted the Retention Application pursuant to the Order Authorizing The Employment And Retention Of Morris, Nichols, Arsht & Tunnell LLP As Delaware Special Litigation Counsel To The Debtors And Debtors In Possession Effective Nunc Pro Tunc To Petition Date (D.I. 1004) (the Retention Order ). FEE PROCEDURES ORDER 6. On October 14, 2015, the Court entered the Interim Compensation Procedures Order, which sets forth the procedures for interim compensation and reimbursement of expenses for all professionals in these cases. 7. In particular, the Interim Compensation Procedures Order provides that a Professional may file and serve a Monthly Fee Application no earlier than the 20 th day of each month following the month for which compensation is sought. Provided that there are no objections to the Monthly Fee Application filed within twenty (20) days after the service of the Monthly Fee Application, the Professional may file a certificate of no objection with the Court, after which the Debtors are authorized to pay such Professional 80% of the fees and 100% of the expenses requested in such Monthly Fee Application. If an objection is filed to the Monthly Fee Application, then the Debtors are authorized to pay 80% of the fees and 100% of the expenses not subject to an objection. 3

10 Case KG Doc 4010 Filed 12/10/18 Page 10 of 13 DEBTORS CHAPTER 11 PLAN 8. On November 14, 2018, this Court entered: (i) its Findings of Fact, Conclusions of Law, and Order Under Section 1129 of the Bankruptcy Code and Bankruptcy Rule 3020 Confirming Plan of Liquidation for HH Liquidation, LLC Pursuant to Chapter 11 of the Bankruptcy Code [Docket No. 3975] (the Confirmation Order ), confirming the Plan of Liquidation for HH Liquidation, LLC Pursuant to Chapter 11 of the Bankruptcy Code (including all exhibits thereto and as may be amended, modified, or supplemented from time to time, the Plan ), which is attached to the Confirmation Order as Exhibit A.; and (ii) the Order, Pursuant to Sections 105(a), 305(a), 349, 363, 554 and 1112(b) of the Bankruptcy Code and Bankruptcy Rules 1017 and 6007, (I) Authorizing the Dismissal of the Opco Debtors Chapter 11 Cases, (II) Authorizing the Opco Debtors to Destroy Their Books and Records, and (III) Granting Certain Related Relief [Docket No. 3977] (the Dismissal Order ). 9. The Plan went effective on November 20, 2018 (the Effective Date ). See D.I Pursuant to the Plan, Confirmation Order, and Effective Date notice, all final requests for payment of Professional Claims must be filed by December 20, Such Professional Claims include all fees and expenses requested by Professionals from the Petition Date through the Effective Date for the Debtor. RELIEF REQUESTED 10. Morris Nichols submits this Application: (i) for monthly and final allowance of reasonable compensation for the actual, reasonable, and necessary professional services that it rendered as special litigation counsel for the Debtors during the Monthly and Final Application Periods; and (ii) for monthly and final reimbursement of actual, reasonable, 4

11 Case KG Doc 4010 Filed 12/10/18 Page 11 of 13 and necessary expenses incurred in representing the Debtors during the Monthly and Final Application Periods. MONTHLY APPLICATION PERIOD 11. During the Monthly Application Period, Morris Nichols (a) provided professional services to the Debtors and incurred actual, reasonable, and necessary fees in the amount of $2,245.50, and (b) incurred actual, reasonable, and necessary expenses totaling $ As of the date of this Application, Morris Nichols has not received payment for the monthly fees and expenses requested for the Monthly Application Period. 12. Set forth on the foregoing Compensation by Project Category is a summary by subject matter categories of the time expended by timekeepers billing time to these cases. 13. Exhibit A hereto contains logs, sorted by case project category, which show the time recorded by professionals, paraprofessionals, and other support staff and descriptions of the services provided. 14. Exhibit B hereto contains a breakdown of disbursements incurred by Morris Nichols during the Monthly Application Period. 15. Morris Nichols charges $.10 or less per page for photocopying. 16. Morris Nichols charges $0.25 per page for outgoing domestic facsimiles and does not charge for incoming facsimiles. 17. In accordance with Local Rule , Morris Nichols has reduced its request for compensation for non-working travel, if any, to 50% of its normal rate. THE FINAL APPLICATION PERIOD 18. Morris Nichols seeks allowance of $30,956.00, for actual, reasonable, and necessary legal services rendered to the Debtor during the Final Application Period; and $

12 Case KG Doc 4010 Filed 12/10/18 Page 12 of 13 as reimbursement of actual, reasonable, and necessary expenses incurred in connection with the rendition of such services during the Final Application Period. Detailed descriptions of the services rendered and expenses incurred by Morris Nichols during the Final Application Period are set forth on Exhibits A and B, respectively, of the monthly fee applications filed by Morris Nichols in theses chapter 11 cases. Morris Nichols requests that the Debtors be authorized and directed to pay Morris Nichols an amount equal to the sum of the allowed compensation and expense reimbursement during the Final Application Period, less any amounts previously paid by the Debtors. 19. Morris Nichols has coordinated closely with the Debtors other professionals to minimize unnecessary duplication of effort while meeting the demands of these chapter 11 bankruptcy cases. 20. Where possible under these circumstances, tasks have been assigned to attorneys, paralegals, and other support staff at Morris Nichols so that work has been performed by those most familiar with the particular matter or task and, where attorney or paralegal involvement was required, by the lowest hourly rate professional appropriate for a particular matter. 21. The terms and conditions of Morris Nichols employment by the Debtors are set forth in the Retention Order. The compensation requested is based on the customary compensation charged by comparably skilled practitioners in non-bankruptcy cases. 22. No agreement or understanding exists between Morris Nichols and any other person for the sharing of compensation received or to be received for services rendered in or in connection with this case. All compensation received by Morris Nichols related to this case has been received from the Debtors estates. 6

13 Case KG Doc 4010 Filed 12/10/18 Page 13 of The undersigned has reviewed the requirements of Local Rule and certifies to the best of his or her information, knowledge, and belief that this Application complies with that Rule. WHEREFORE, Morris Nichols respectfully requests that this Court: (i) allow Morris Nichols (a) monthly compensation in the amount of $2, for actual, reasonable, and necessary professional services rendered on behalf of the Debtors during the Monthly Application Period, and (b) monthly reimbursement in the amount of $ for actual, reasonable, and necessary expenses incurred during the Monthly Application Period; and (ii) allow Morris Nichols (a) final compensation in the amount of $30,956.00; for actual, reasonable, and necessary services rendered to or on behalf of the Debtors during the Final Application Period, (b) final reimbursement of $ for actual, reasonable, and necessary expenses incurred during the Final Application Period, (c) authorize and direct the Debtors to pay Morris Nichols an amount equal to the sum of such allowed compensation and reimbursement, less any amounts previously paid by the Debtors; and (iii) grant such other further relief as the Court deems just and proper. Dated: December 10, 2018 Wilmington, Delaware MORRIS, NICHOLS, ARSHT & TUNNELL LLP /s/ Andrew R. Remming Andrew R. Remming (No. 5120) Tamara K. Mann (No. 5643) 1201 North Market Street, 16th Floor P.O. Box 1347 Wilmington, DE Telephone: Facsimile: Special Litigation Counsel to Debtors and Debtors in Possession

14 Case KG Doc Filed 12/10/18 Page 1 of 2 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re HH Liquidation, LLC, et al., Chapter 11 Case No (KG) (Jointly Administered) Debtors. 1 Objection Deadline: December 31, 2018 Hearing Date: TBD NOTICE OF SECOND MONTHLY (FOR THE PERIOD APRIL 1, 2016 THROUGH NOVEMBER 20, 2018) AND FINAL APPLICATION OF MORRIS, NICHOLS, ARSHT & TUNNELL LLP FOR ALLOWANCE OF COMPENSATION AND REIMBURSEMENT OF EXPENSES AS SPECIAL LITIGATION COUNSEL TO THE DEBTORS AND DEBTORS IN POSSESSION FOR THE PERIOD FROM SEPTEMBER 8, 2015 THROUGH AND INCLUDING NOVEMBER 20, 2018 PLEASE TAKE NOTICE that today, Morris, Nichols, Arsht & Tunnell LLP has filed the attached Second Monthly (For The Period April 1, 2016 Through November 20, 2018) And Final Application Of Morris, Nichols, Arsht & Tunnell LLP For Allowance Of Compensation And Reimbursement Of Expenses As Special Litigation Counsel To The Debtors And Debtors In Possession For The Period From September 8, 2015 Through And Including November 20, 2018 (the Application ). PLEASE TAKE FURTHER NOTICE that objections, if any, to the Application, must: (a) filed with the Clerk of the Bankruptcy Court, 824 North Market Street, 3 rd Floor, Wilmington, Delaware 19801, by December 31, 2018 at 4:00 p.m. (Eastern Time) (the Objection Deadline ); and (b) be served so as to be received on or before the Objection Deadline by: (i) Morris, Nichols, Arsht & Tunnell LLP, 1201 N. Market Street, 16th Floor, Wilmington, DE (Attn: Andrew R. Remming); (ii) Haggen Holdings, LLC, 2211 Rimland Drive, Bellingham, WA 98226, 1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtors federal tax identification number, are: Haggen Holdings, LLC (7558), Haggen Operations Holdings, LLC (6341), Haggen Opco South, LLC (7257), Haggen Opco North (5028), Haggen Acquisition, LLC (7687), and Haggen, Inc. (4583). The mailing address for each of the Debtors is Aliso Creek Road, Suite B-1003, Aliso Viejo, CA

15 Case KG Doc Filed 12/10/18 Page 2 of 2 Attn.: Blake Barnett; (iii) co-counsel to the Debtors, Stroock & Stroock & Lavan LLP, 180 Maiden Lane, New York, NY , Attn.: Frank A. Merola and Sayan Bhattacharyya; (iv) co-counsel to the Debtors, Young Conaway Stargatt & Taylor, LLP, Rodney Square, 1000 North King Street, Wilmington, DE 19801, Attn.: Matthew B. Lunn; (v) counsel to the Debtors pre-petition and post-petition lenders, Blank Rome LLP, 1201 Market Street, Suite 800, Wilmington, DE 19801, Attn.: Regina Stango Kelbon; (vi) counsel for the Committee, Pachulski Stang Ziehl & Jones LLP, 780 Third Avenue, 34th Floor, New York, NY 10017, Attn.: Robert J. Feinstein, and 919 North Market Street, 17th Floor, Wilmington, DE 19801, Attn.: Bradford J. Sandler; and (vii) the U.S. Trustee, 855 King Street, Suite 2207, Lockbox 35, Wilmington, DE 19801, Attn: Timothy J. Fox. A HEARING ON THE APPLICATION, IF NECESSARY, WILL BE HELD AT THE CONVENIENCE OF THE COURT AND NOTICE OF ANY SUCH HEARING WILL BE GIVEN ONLY TO THE OBJECTING PARTY OR PARTIES. IF YOU FAIL TO RESPOND IN ACCORDANCE WITH THIS NOTICE, THE COURT MAY GRANT THE RELIEF REQUESTED BY THE APPLICATION WITHOUT FURTHER NOTICE OR HEARING. Dated: December 10, 2018 Wilmington, Delaware MORRIS, NICHOLS, ARSHT & TUNNELL LLP /s/ Andrew R. Remming Andrew R. Remming (No. 5120) Tamara K. Minott (No. 5643) 1201 North Market Street, 16th Floor P.O. Box 1347 Wilmington, DE Telephone: Facsimile: Special Litigation Counsel to Debtors and Debtors in Possession

16 Case KG Doc Filed 12/10/18 Page 1 of 3 EXHIBIT A MONTHLY COMPENSATION BY PROJECT CATEGORY HH LIQUIDATION, LLC, ET AL. (Case No (KG)) April 1, 2016 through November 20, 2018 Project Category Total Hours Total Fees Fee Applications (MNAT Filing) 6.6 $2, Fee Applications (MNAT Objections) TOTAL 7.00 $2,245.50

17 Case KG Doc Filed 12/10/18 Page 2 of 3 Time Detail Task Code: B160 Fee Applications (MNAT - Filing) Date Name Description Hours Amount 06/08/17 Fusco, Renae 06/09/17 Fusco, Renae 06/09/17 Fusco, Renae 06/12/17 Remming, Andrew 09/08/17 Fusco, Renae 09/08/17 Fusco, Renae 09/11/17 Fusco, Renae 09/11/17 Fusco, Renae 09/11/17 Fusco, Renae 10/10/17 Fusco, Renae 10/11/17 Conway, Angela R. 10/13/17 Fusco, Renae 11/06/17 Fusco, Renae 01/11/18 Conway, Angela R. 01/12/18 Conway, Angela R. confer w A Remming re fee app; rvw MNAT fee exhibits edit MNAT fee app to acctg re MNAT fee exhibits work on Haggen fee app to acctg re MNAT fee exhibits edit MNAT fee app efile MNAT fee app prep service of MNAT fee app addl edits to MNAT fee app & exhibits rvw from Debtor counsel re interim fee app and to A Remming re same s w/t. Minott re wiring instructions; to and from acct billing; to debtor re payment of fees and costs edit interim fee app rvw draft interim order & to A Remming re same Review and respond to of T. Minott re application of professional Review docket and to A. Remming re review and comment re application of professional

18 Case KG Doc Filed 12/10/18 Page 3 of 3 Date Name Description Hours Amount 01/12/18 Conway, Angela R. Review from A. Remming (.1); review a/p and follow up w/a. Remming (.1); review further s regarding MNAT quarterly and monthly applications (.1) Task Code: B170 Fee Applications (MNAT - Objections) Total 6.6 2, Date Name Description Hours Amount 10/10/17 Fusco, Renae draft CNO re MNAT fee app /10/17 Fusco, Renae efile MNAT cno Total

19 Case KG Doc Filed 12/10/18 Page 1 of 2 EXHIBIT B HH LIQUIDATION, LLC, ET AL. (Case No (KG)) April 1, 2016 through November 20, 2018 Expense Category Service Provider (if applicable) Total Expenses Court Costs $ In-House Duplicating Messenger Service Postage 5.46 Grand Total Expenses $

20 Case KG Doc Filed 12/10/18 Page 2 of 2 Cost Detail Date Description Quantity Amount 09/01/15 Court Costs - AMERICAN EXPRESS - USDC-DE - FILING FEES - 9/2/15 09/11/17 In-House Duplicating /11/17 Messenger Service - Trustee - 9/11/ /11/17 Postage - 9/11/ /18/17 In-House Duplicating Total $478.86

21 Case KG Doc Filed 12/10/18 Page 1 of 1 CERTIFICATE OF SERVICE I, Andrew R. Remming, certify that I am not less than 18 years of age, and that service of the foregoing Second Monthly (For The Period April 1, 2016 Through November 20, 2018) And Final Application Of Morris, Nichols, Arsht & Tunnell LLP For Allowance Of Compensation And Reimbursement Of Expenses As Special Litigation Counsel To The Debtors And Debtors In Possession For The Period From September 8, 2015 Through And Including November 20, 2018 was caused to be made on December 10, 2018, in the manner indicated, upon the entities identified below: Date: December 10, 2018 Wilmington, Delaware /s/ Andrew R. Remming Andrew R. Remming (No.5120) Via Hand Delivery Matthew B. Lunn Young Conaway Stargatt & Taylor LLP Rodney Square 1000 North King Street Wilmington, DE Regina Stango Kelbon Blank Rome LLP 1201 N. Market Street, Suite 800 Wilmington, DE Timothy J. Fox Office Of The United States Trustee 844 King Street, Suite 2207 Lockbox 35 Wilmington, Delaware Via First Class Mail Frank A. Merola Sayan Bhattacharyya Stroock Stroock & Lavan LLP 180 Maiden Lane New York, NY Robert J. Feinstein Pachulski Stang Ziehl & Jones LLP 780 Third Avenue, 34 th Floor New York, NY Haggen Holdings, LLC Attn.: Blake Barnett 2211 Rimland Drive Bellingham, WA Bradford J. Sandler Pachulski Stang Ziehl & Jones LLP 919 N. Market Street, 17 th Floor Wilmington, DE

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