UNITED STATES BANKRUPTCY COURT NORTHERN DISTRICT OF CALIFORNIA OAKLAND DIVISION

Similar documents
Authorized to Provide Professional Services to: Debtors and Debtors-in-Possession

Case wlh Doc 192 Filed 08/27/15 Entered 08/27/15 17:18:09 Desc Main Document Page 1 of 25

Case 1:09-bk Doc 375 Filed 11/04/09 Entered 11/04/09 20:30:25 Desc Main Document Page 1 of 11

Attorneys for the Official Committee of Unsecure Creditors UNITED STATES BANKRUPTCY COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION

Case 2:18-bk ER Doc 1263 Filed 01/16/19 Entered 01/16/19 11:51:44 Desc Main Document Page 1 of 6 UNITED STATES BANKRUPTCY COURT

Case CSS Doc 56 Filed 04/06/18 Page 1 of 10 UNITED STATES BANKRUPTCY COURT DISTRICT OF DELAWARE. Chapter 11

UNITED STATES BANKRUPTCY COURT NORTHERN DISTRICT OF CALIFORNIA OAKLAND DIVISION

rbk Doc#32-1 Filed 08/24/17 Entered 08/24/17 12:18:46 Exhibit A Pg 1 of 5

mg Doc 6556 Filed 03/03/14 Entered 03/03/14 14:54:50 Main Document Pg 1 of 30. L. Stephens Tilghman Hearing Date: T.B.D.

Case: SDB Doc#:578 Filed:02/01/19 Entered:02/01/19 16:09:24 Page:1 of 57

Case 3:05-bk JAF Document 1486 Filed 05/27/2005 Page 1 of 43

IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION. Chapter 13 Trustee Procedures for

Case rfn11 Doc 413 Filed 06/30/14 Entered 06/30/14 13:08:22 Page 1 of 7

Case KJC Doc 597 Filed 03/07/14 Page 1 of 14 UNITED STATES BANKRUPTCY COURT DISTRICT OF DELAWARE : : : : : : : : : Chapter 11

: : : : : : : : : I, ROGER CUKRAS, under penalty of perjury, hereby declares as follows:

IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

Case Doc 67 Filed 05/10/10 Entered 05/10/10 17:04:36 Desc Main Document Page 1 of 6

Case GLT Doc 1070 Filed 09/06/17 Entered 09/06/17 16:16:10 Desc Main Document Page 1 of 10

Case LSS Doc Filed 05/17/16 Page 1 of 5 EXHIBIT A 01:

Case KJC Doc 295 Filed 11/07/18 Page 1 of 13 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

Case Doc 23 Filed 11/28/17 Page 1 of 9 UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF MARYLAND (BALTIMORE DIVISION)

Case CSS Doc 119 Filed 09/25/15 Page 1 of 12 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

MI PUEBLO SAN JOSE, INC.,

Debtors. : (Jointly Administered)

: Debtors. : (Jointly Administered) x

Case CSS Doc 53 Filed 03/10/14 Page 1 of 13 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

Case KRH Doc 2682 Filed 06/14/16 Entered 06/14/16 19:08:42 Desc Main Document Page 1 of 23

Case Document 358 Filed in TXSB on 06/08/15 Page 1 of 5 UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

UNITED STATES BANKRUPTCY COURT DISTRICT OF NEW HAMPSHIRE

Case JAD Doc 34 Filed 06/14/16 Entered 06/14/16 19:08:21 Desc Main Document Page 1 of 9

Debtors. Airlines Corporation, et al., ( NWA Corp. ), and certain of its direct and indirect subsidiaries,

IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

Official Committee of Unsecured Creditors Committee Information Sheet

UNITED STATES BANKRUPTCY COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION

Deloitte Financial Advisory Services LLP. Time Period for Application: June 29, 2006 through September 19, 2006

IN THE UNITED STATES BANKRUPTCY COURT FOR THE NORTHERN DISTRICT OF TEXAS DALLAS DIVISION ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) Chapter 11

200 Park Avenue New York, New York Telephone: (212) Facsimile: (212)

Voluntary Petition THIS SPACE FOR COURT USE ONLY UNITED STATES BANKRUPTCY COURT CENTRAL DISTRICT OF CALIFORNIA

If this is an Amended or Modified Plan, the reasons for filing this Amended or Modified Plan are: [state reasons].

FIRST AND FINAL APPLICATION

IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF NEW YORK

Case 8:15-bk MW Doc 28 Filed 11/03/15 Entered 11/03/15 13:17:18 Desc Main Document Page 1 of 6

Official Form 201 Voluntary Petition for Non-Individuals Filing for Bankruptcy 4/16

Bradley A. Robins Greenhill & Co, LLC 300 Park Avenue New York, New York Telephone: (212)

UNITED STATES BANKRUPTCY COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION

rk Doc 14 FILED 08/07/17 ENTERED 08/07/17 10:27:14 Page 1 of 12

Telephone: (305) Suite 3100 Facsimile: (305) Dallas, TX Telephone: (214) Facsimile: (214)

Case CSS Doc 179 Filed 12/23/15 Page 1 of 7 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

(a) Plan Requirements. In addition to the requirements of Bankruptcy Code 1322(a), a plan shall be in the form of Local Plan Form 13-2 and shall have:

Case: JMD Doc #: 295 Filed: 03/02/12 Desc: Main Document Page 1 of 5

Case BLS Doc 97 Filed 08/08/18 Page 1 of 14 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE.

Case KG Doc 3962 Filed 11/12/18 Page 1 of 5 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

mew Doc 3224 Filed 05/15/18 Entered 05/15/18 21:59:31 Main Document Pg 1 of 19

Case 2:18-bk ER Doc 1236 Filed 01/11/19 Entered 01/11/19 13:14:38 Desc Main Document Page 1 of 9

Case 2:16-bk BB Doc 1145 Filed 03/15/18 Entered 03/15/18 15:18:28 Desc Main Document Page 1 of 13

Case KJC Doc 574 Filed 01/08/19 Page 1 of 8 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE ) ) ) ) ) ) )

Information & Instructions: Response to a Motion To Lift The Automatic Stay Notice and Proof of Service

Official Form 201 Voluntary Petition for Non-Individuals Filing for Bankruptcy 12/15

Case Document 80 Filed in TXSB on 05/01/13 Page 1 of 8 IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS

Case RBR Doc 535 Filed 09/07/12 Page 1 of 18

United States Bankruptcy Court. Voluntary Petition. District of Minnesota County of Residence or of the Principal Place of Business: Hennepin

UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF MASSACHUSETTS WESTERN DIVISION DEBTOR S APPLICATION TO EMPLOY ACCOUNTANT

DORAL FINANCIAL CREDITORS TRUST FIRST SEMI-ANNUAL STATUS REPORT FOR THE PERIOD FROM OCTOBER 28, 2016 (THE PLAN EFFECTIVE DATE) THROUGH APRIL 30, 2017

Health Care Business Single Asset Real Estate as defined

Voluntary Petition for Non-Individuals Filing for Bankruptcy 04/16

UNITED STATES BANKRUPTCY COURT MIDDLE DISTRICT OF FLORIDA FORT MYERS DIVISION ORDER CONFIRMING PLAN

Case LSS Doc 841 Filed 11/11/15 Page 1 of 10 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

Case KJC Doc 83 Filed 03/13/19 Page 1 of 3 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE. ) Related to Docket Nos.

Case BLS Doc 131 Filed 05/24/18 Page 1 of 12 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE.

Case BLS Doc 267 Filed 05/06/14 Page 1 of 12 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE.

jmp Doc 228 Filed 11/03/11 Entered 11/03/11 11:22:39 Main Document Pg 1 of 8. Chapter 11

UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK

Official Form 101 Voluntary Petition for Individuals Filing for Bankruptcy 12/15

Case Document 87 Filed in TXSB on 03/10/15 Page 1 of 7

mg Doc 5856 Filed 11/18/13 Entered 11/18/13 21:40:27 Main Document Pg 1 of 109

Case KG Doc 898 Filed 01/03/19 Page 1 of 3

Case pwb Doc 64 Filed 07/08/16 Entered 07/08/16 17:15:35 Desc Main Document Page 1 of 6

Case KG Doc 118 Filed 10/29/18 Page 1 of 5 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

Case KG Doc 82 Filed 12/19/13 Page 1 of 8 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE. Chapter 11

Case KG Doc 314 Filed 09/24/18 Page 1 of 8 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE : : : : : : :

UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF TENNESSEE MOTION OF TITAN GLOBAL HOLDINGS, INC. TO APPOINT A CHAPTER 11 TRUSTEE

Case bjh11 Doc 168 Filed 12/20/18 Entered 12/20/18 12:51:25 Page 1 of 9

IN THE UNITED STATES BANKRUPTCY COURT NORTHERN DISTRICT OF TEXAS FORT WORTH DIVISION

Morgan, Limestone, Lauderdale and Colbert Counties. Nature of Business (Check one box)

THE UNITED STATES BANKRUPTCY COURT NORTHERN DISTRICT OF OHIO CHAPTER 13 PROCEEDING ) ) ) ) ) )

IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF MONTANA. Case No.

Case Doc 36 Filed 12/16/14 Entered 12/16/14 16:15:00 Desc Main Document Page 1 of 21

rdd Doc 141 Filed 05/09/14 Entered 05/09/14 10:11:57 Main Document Pg 1 of 3

smb Doc 309 Filed 01/30/19 Entered 01/30/19 21:45:00 Main Document Pg 1 of 6. AFFIDAVIT AND DISCLOSURE STATEMENT OF Jan Neugebauer,

UNITED STATES BANKRUPTCY COURT DISTRICT OF NEW JERSEY

Case KG Doc 824 Filed 09/09/16 Page 1 of 24 UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE. Chapter 11

Case: SDB Doc#:26 Filed:02/28/18 Entered:02/28/18 16:24:33 Page:1 of 7

Upon the annexed Application (the "Application") of SUFFOLK READY MIX, LLC,

TOTAL FINANCE INVESTMENT INC., ) (Jointly Administered) et al., ) Chapter: 11

Case KRH Doc 676 Filed 11/25/15 Entered 11/25/15 14:41:58 Desc Main Document Page 1 of 23

UNITED STATES BANKRUPTCY COURT NORTHERN DISTRICT OF OHIO

FILED BEFORE THE HEARING BOARD

Case KJC Doc 602 Filed 12/17/18 Page 1 of 6 IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE

x

Case Document 2540 Filed in TXSB on 09/12/13 Page 1 of 8 IN THE UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

Transcription:

Dean M. Gloster (State Bar No. ) Gary M. Kaplan (State Bar No. 0) Telephone: () -00 Facsimile: () -0 Email: gkaplan@fbm.com [Proposed] Attorneys for Debtors WALTER J. NG AND MARIBEL NG UNITED STATES BANKRUPTCY COURT NORTHERN DISTRICT OF CALIFORNIA OAKLAND DIVISION 1 In re WALTER J. NG and MARIBEL NG, Case No. - RLE Chapter Case Tax I.D. No. xxx-xx- Debtors. [NO HEARING SET] Judge: Hon. Roger Efremsky 0 1 () -00 DECLARATION OF DEAN M. GLOSTER IN SUPPORT OF DEBTORS APPLICATION TO EMPLOY FARELLA BRAUN + MARTEL LLP AS COUNSEL I, Dean Gloster, declare as follows: 1. I am an attorney licensed to practice law in the State of California and before this Court. I am a partner in the law firm of ( FBM ), and am authorized to make this declaration in that capacity. Except as otherwise indicated, all statements in this Declaration are based on my personal knowledge, and, if called upon to do so, I could and would testify competently thereto.. I make this Declaration in support of the application (the Application ) by Walter J. Ng and Maribel Ng, the debtors in possession in the above-captioned case ( Applicant or the Debtors ) for authority pursuant to Section (a) of Title of the United States Code (the Bankruptcy Code ) and Federal Rule of Bankruptcy Procedure ( Bankruptcy Rule ) 0(a) to employ FBM as their bankruptcy counsel in the above-captioned Chapter case. GLOSTER DECL. ISO DEBTORS APPL. EMPL. Case: - Doc# Filed: 0// Entered: 0// ::0 Page 1 of

1 0 1. Applicant filed a voluntary petition for relief under Chapter of the Bankruptcy Code on May 1, 0 (the Petition Date ). A trustee has not been appointed for the Debtors, and they continue to function as debtors-in-possession pursuant to Sections 0 and 0 of the Bankruptcy Code.. FBM is experienced in representing debtors and trustees (and other parties)in cases and proceedings under the Bankruptcy Code and is well qualified to represent Applicant as debtors-in-possession in the above-captioned Chapter case.. FBM has acted as counsel for Debtor Walter Ng and his son Kelly Ng since June 0 regarding advice concerning creditor issues, potential liability issues, business interests and restructuring and related matters. FBM has been advising and assisting the Debtor since early 0 regarding pre-bankruptcy planning and advice and preparation for filing this case. As described in greater detail below, FBM has been paid current for services rendered pre-petition and is not a general unsecured creditor of Applicant.. As a condition to accepting representation of new clients or new matters for existing clients, FBM runs a conflicts check through its computer system. Given the voluminous number of creditors of this estate (e.g., there are approximately,000 creditors listed on the Creditor Matrix filed herein by the Debtors), FBM limited its conflicts inquiry to: (i) the Debtors; (ii) the Debtors secured creditor, Provident Credit Union; (iii) each of the entities listed on the List of Creditors Holding 0 Largest Unsecured Claims filed herein by the Debtors; (iv) each of the 0 largest unsecured creditors of the following entities in which Debtor Walter Ng holds interests: RE Loans, LLC; RE Reno, LLC; and Mortgage Fund 0, LLC; and (vi) each of the parties identified as plaintiffs in any lawsuits against the Debtors of which FBM is aware. That check disclosed the following potential conflicts: (a) As discussed above, FBM continues to represent Kelly Ng, the son of the Debtors, including in connection with lawsuits brought against Kelly and Debtor Walter (among others) No claims have been brought or asserted by Kelly Ng against Debtor Walter Ng or by Debtor Walter Ng against Kelly Ng. In connection with its representation of Walter Ng and Kelly () -00 Ng prior to the filing of the petition, at the direction of Kelly Ng, FBM represented the interests GLOSTER DECL. ISO DEBTORS APPL. EMPL. - - Case: - Doc# Filed: 0// Entered: 0// ::0 Page of

1 0 1 of Bar-K, Inc., a corporation which is 0% owned by Kelly Ng, and which at a prior time was (but no longer is, and was not at the time of the representation) 0% owned by Walter Ng and Maribel Ng, with respect to funds owed to Bar-K, Inc. (b) FBM represents J. Robert Orton III and Amy Silver Orton, each of whom are investors in Mortgage Fund 0 and in RE Loans, LLC; as noted above, Debtor Walter Ng is a principal in each of Mortgage Fund 0 and RE Loans, LLC. The matters for which FBM represents the Ortons are unrelated to Mortgage Fund 0, RE Loans or the Debtors. (c) FBM represents certain entities (Historic Central Building, LLC, Sansome and Pacific Investments, LLC, and Fort-Baker Retreat Group, LLC) in which the Jordan/Delaney family holds significant interests. The Jordan/Delaney Family Trust (for which Wayne Jordan and Quinn Delaney are trustees), are investors in Mortgage Fund 0 LLC, in which Debtor Walter Ng is a principal. The matters for which FBM represents the Jordan/Delaney-related entities are unrelated to Mortgage Fund 0 or Debtor Walter Ng, and FBM does not represent the Jordan/Delaney Family Trust (the investor in Mortgage Fund 0) in any matters.. While I do not believe that any of the foregoing matters constitutes an actual conflict, it is here described in the interests of full disclosure.. Because of the diversity and size of FBM s practice, it is possible that FBM may have rendered legal services to certain creditors or other interested parties or may have been involved in matters in which attorneys for creditors or other interested parties were also involved, in matters unrelated to this bankruptcy case. Similarly, various attorneys of FBM may have had business associations with certain affiliated parties, creditors or other interested parties that have no connection with FBM s representation of Applicant. In light of the depth and scope of FBM s practice, there may be other relationships or connections between this firm or its attorneys and various creditors and parties in interest and their professionals. In addition, some of the attorneys at FBM may also hold equity securities of publicly traded entities which are creditors of the Debtors, or which are parties in interest in this case. FBM does not believe that any such relationships conflict with its proposed representation of Applicant in this case or affect its () -00 qualification as disinterested under the Bankruptcy Code. However, in the event that FBM GLOSTER DECL. ISO DEBTORS APPL. EMPL. - - Case: - Doc# Filed: 0// Entered: 0// ::0 Page of

1 0 1 discovers any material associations beyond those noted above, it will promptly inform this Court during the period of its employment. In all events and circumstances, FBM will not represent any creditors or other parties in interest in connection with any matter related to this Chapter case.. To the best of my knowledge, information and belief, none of FBM s attorneys is either (a) a relative of the bankruptcy judge presiding over this bankruptcy case, or (b) a relative of the United States Trustee ( UST ) for the region where this case is pending.. Except as disclosed above, to the best of my knowledge, information and belief: (a) FBM has no material connections with the Debtors, their creditors or any other party in interest or their respective attorneys and accountants; (b) FBM neither holds nor represents any interest adverse to the Debtors estate; and (c) FBM is a disinterested party in the Debtors bankruptcy case within the meaning of Section 1() of the Bankruptcy Code.. Applicant has agreed to the employment of FBM according to FBM s standard terms, which include monthly billing for professional services rendered and reimbursement of expenses incurred on behalf of Applicant, subject to Court approval. FBM s fees are computed and billed on a time-expended basis in accordance with the standard hourly rates assigned to the particular attorneys and legal assistants performing the work. 1. The primary attorneys and legal assistants presently responsible for this representation and their current hourly rates are set forth immediately below: Attorney Hourly Rate Dean Gloster $0 Gary Kaplan $0 Legal Assistant Hourly Rate Kristen Schwartz $0 Some work may be done by other attorneys or legal assistants whose hourly rates may be different from those persons listed above. The standard hourly billing rates for FBM s attorneys range from $ per hour to $0 per hour, and the standard hourly billing rates for FBM s legal assistants range from $00 per hour to $00 per hour. These rates are subject to periodic adjustment, and the applicable rates are those in effect at the time the services are rendered. In () -00 addition, the terms and conditions of FBM s employment include reimbursement of a number of GLOSTER DECL. ISO DEBTORS APPL. EMPL. - - Case: - Doc# Filed: 0// Entered: 0// ::0 Page of

1 0 1 expenses incurred in the course of the representation, such as photocopying, telecommunications charges, computer research, delivery services and travel.. The terms of FBM s employment by Applicant include an agreement (a) that FBM is entitled to satisfy the amounts due under current invoices from any funds held in a retainer account, (b) that FBM has a security interest on all funds held by the firm from time to time as retainers and (c) that FBM may request that Applicant replenish the retainer from time to time.. Prior to commencement of this Chapter case, FBM received from time to time retainers in the aggregate amount of $,000.000 ($,000.000 on //; $,000 on //; and $0,000 on // 1 ) in connection with the representation of Applicant (and, with respect to matters unrelated to this bankruptcy case, Debtors son Kelly Ng, as discussed above), $,. of which remains available as of the Petition Date. The total pre-petition payments to FBM equals $1,. (the difference in the foregoing amounts is due to aggregate accrued interest on the retainer balance of $.).. More specifically, FBM applied previously received retainers during the ninety days prior to the Petition Date, and applied those payments to its invoices, as follows: (a) On //, FBM applied $,0. from the retainer balance received in 0 on account of: (i) an invoice in the amount of $,1.0, dated 01/1/, covering services rendered for the period ending 1/1/; (ii) an invoice in the amount of $,0.00, dated //, covering services rendered for the period ending 1/1/; and (iii) an invoice in the amount of $,.00, dated //, covering services rendered for the period ending //. (b) On //, FBM applied $,0.00 from the retainer balance received in 0 on account of an invoice in the amount of $,0.00, dated 0//, covering services rendered for the period ending /1/. (c) On /1/ (prior to the filing of the petition commencing this case), FBM applied $,0. from the retainer balance on account of an invoice in the amount of $,0., dated 0/1/, covering services rendered for the period ending //. () -00 1 The $0,000 amount was paid by cashiers checks to replace $,000 of non-cashiers checks that Applicant gave FBM on //. GLOSTER DECL. ISO DEBTORS APPL. EMPL. - - Case: - Doc# Filed: 0// Entered: 0// ::0 Page of

1 0 1. FBM believes that none of the payments identified in paragraph of this Declaration constitutes an avoidable preferential transfers under Section of the Bankruptcy Code, because at the time of each payment, FBM was a fully secured creditor (i.e., was holding a retainer balance in excess of the debt owed to FBM by Applicant, as evidenced by FBM s invoices). FBM further believes that to the extent that any of the payments identified in paragraph of this Declaration might arguably constitute preferential transfers, they were made within the ordinary course of business between Applicant and FBM, so that such payments would not be recoverable as preferential transfers by the estate pursuant to Bankruptcy Code Section (c)().. In an effort expeditiously and fairly to dispose of any objection to FBM s proposed employment by the estate on account of the firm s receipt of potentially preferential payments from Applicant prior to the commencement of this case, as set forth in paragraphs of this Declaration, FBM proposes that if any party in interest wishes to raise such objection to FBM s employment, it must file a written objection within ten () days of the filing of the Application for Employment. If any such timely objection is filed, or if the Bankruptcy Court indicates that it believes that the matter of FBM s disinterestedness should be determined prior to its employment by the estate, then FBM proposes that it set a Status Conference before the Bankruptcy Court pursuant to Section of the Bankruptcy Code, on not less than five () days notice to: (i) Provident Credit Union, the Debtors secured creditor; (ii) the creditors listed on the List of Creditors Holding 0 Largest Unsecured Claims filed herein by the Debtors; (iii) the Office of the United States Trustee and (iv) any party that timely files an objection regarding FBM s disinterestedness, at which time the parties may be heard on the most appropriate manner of resolving this issue, and the Bankruptcy Court shall determine how best to proceed. () -00 FBM notes that the $,0. of its retainer balance applied on // to the three months of prior invoices is consistent with FBM s application of $,. from its retainer balance on 1// on account of three months of prior invoices (invoice in the amount of $,., dated //, covering services rendered for the period ending /0/; invoice in the amount of $1,., dated //, covering services rendered for the period ending /1/; and invoice in the amount of $,.0, dated 1//, covering services rendered for the period ending /0/), and notes that the retainer was received in 0 prior to the services for which it was applied to pay. GLOSTER DECL. ISO DEBTORS APPL. EMPL. - - Case: - Doc# Filed: 0// Entered: 0// ::0 Page of

1. FBM understands that the compensation paid or promised to FBM for services to be rendered in connection with this case is limited to such amounts as may be allowed by the Court. If the Application is approved by the Court, FBM intends to apply to this Court, from time to time, for compensation (based on the normal hourly rates of the professionals employed by FBM) and reimbursement of expenses in accordance with applicable provisions of the Bankruptcy Code, the Bankruptcy Rules the rules and orders of this Court, the Court s Guidelines for Compensation and Expense Reimbursement of Professionals and Trustees and applicable UST Guidelines. FBM understands that the allowed fees and reimbursable expenses of FBM will constitute administrative expenses of the Debtors estate pursuant to the Bankruptcy Code. No agreement or understanding exists between FBM and any other person or entity for a division of the compensation in connection with this bankruptcy case.. I submit this declaration in accordance with Sections (a) and (a) of the Bankruptcy Code and Bankruptcy Rules 0(a), 0(b) and 00(a). I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct. Executed this day of May, 0, in San Francisco, California. /s/ Dean Gloster Dean Gloster 0 \. 1 () -00 GLOSTER DECL. ISO DEBTORS APPL. EMPL. - - Case: - Doc# Filed: 0// Entered: 0// ::0 Page of