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UNITED STATES BANKRUPTCY COURT DISTRICT OF DELAWARE

In re: PACIFIC ENERGY RESOURCES LTD, et al., Debtors. Chapter 11 Case No. 09-10785 (KJC) (Jointly Administered)

NOTICE OF AMENDED SECOND INTERIM VERIFIED FEE APPLICATION OF WARREN H. SMITH & ASSOCIATES, P.C. AS FEE AUDITOR FOR ALLOWANCE OF COMPENSATION AND FOR REIMBURSEMENT OF EXPENSES

Name of Applicant: Authorized to Provide Services:

Warren H. Smith & Associates, P.C.

As Fee Auditor to the Estates

Date of Retention: Period for Which Compensation and Reimbursement is Sought: Amount of Compensation Requested: Amount of Expense Reimbursement Requested: Amount of Compensation Requested Less Holdback: Amount of Compensation Paid For Applicable Period: Amount of Expenses Reimbursed For Applicable Period: Total Amount of Holdback Fees in Aggregate:

April 8, 2009

June 1, 2009 through August 31, 2009

$29,008.00

$42.93

$23,206.40

$0.00

$0.00

$29,050.93

AMENDED SECOND INTERIM FEE APPLICATION OF WARREN H. SMITH & ASSOCIATES, P.C. - Page 1 of Page 13

CUMULATIVE SUMMARY OF INTERIM APPLICATIONS OF WARREN H. SMITH & ASSOCIATES, P.C. FOR SERVICES RENDERED AND REIMBURSEMENT OF EXPENSES FOR THE PERIOD JUNE 1, 2009 THROUGH AUGUST 31, 2009: Month; Filing Date; Docket No. July 2009 8/7/2009 721 August 2009 9/10/2009 866 Total Fees Requested Total Expenses Requested Certification of No Objection Filing Date; Docket No. 8/28/09 804 9/16/2009 $28,182.50 $42.93 891 $0.00 $0.00 $28,225.43 Amount of Fees Paid (80%) Amount of Expenses paid (100%) Amount of % Hold back Fees Sought

$825.50

$0.00

$0.00

$0.00

$825.50

Total

$29,008.00

$42.93

$0.00

$0.00

$29,050.93

CUMULATIVE COMPENSATION SUMMARY BY PROJECT CATEGORY: Project Category Total Hours For The Period 6/1/09 through 8/31/09 171.60 2.90 174.50 Total Hours from the Petition Date Total Fees For The Period 6/1/09 through 8/31/09 $28,669.50 $338.50 $29,008.00 Total Fees From The Petition Date

Accounting/Auditing Fee Application Total

171.60 2.90 174.50

$28,669.50 $338.50 $29,008.00

CUMULATIVE EXPENSE SUMMARY: Expense Category Copying Cost Long Distance Third Party Copies & Document Mailing

Total Expenses for the Period 6/1/09 through 8/31/09 $0.00 $0.00

Total Expense From The Petition Date $0.00 $0.00

Travel Expenses Fed-Ex Postage PACER Research Westlaw TOTAL

$42.37 $0.00 $0.00 $0.00 $0.56 $0.00 $42.93

$42.37 $0.00 $0.00 $0.00 $0.56 $0.00 $42.93

AMENDED SECOND INTERIM FEE APPLICATION OF WARREN H. SMITH & ASSOCIATES, P.C. - Page 2 of Page 13

UNITED STATES BANKRUPTCY COURT DISTRICT OF DELAWARE In Re: PACIFIC ENERGY RESOURCES LTD., et al., Debtors. Chapter 11 Jointly Administered Case No. 09-10785 (KJC)

AMENDED SECOND INTERIM VERIFIED FEE APPLICATION OF WARREN H. SMITH & ASSOCIATES, P.C. AS FEE AUDITOR FOR ALLOWANCE OF COMPENSATION AND FOR REIMBURSEMENT OF EXPENSES Pursuant to 11 U.S.C. '' 330 and 331 and Rule 2016 of the Federal Rules of Bankruptcy Procedure, the Administrative Order Establishing Procedures for Interim Compensation and Reimbursement of Expenses of Professionals Pursuant to Sections 105(a) and 331 of the Bankruptcy Code, dated (the AAdministrative Order@), and the Order Appointing Fee

Auditor and Establishing Related Procedures Concerning the Allowance of Payment of Compensation and Reimbursement of Expenses of Applicants and Consideration of Fee Applications, dated April 8, 2009 (the AFee Auditor Order@), the law firm of Warren H. Smith & Associates, P.C. ("WHS") hereby files this Second Interim Verified Fee Application of Warren H. Smith & Associates, P.C. as Fee Auditor for Allowance of Compensation and for Reimbursement of Expenses (the AApplication@). By this Application, WHS seeks that this Honorable Court award it reasonable compensation for professional legal services rendered as fee auditor for the estates of Pacific Energy Resources Ltd., et al. ("Debtors") in the amount of $29,008.00, and the sum of $42.93 as reimbursement of actual necessary costs and expenses, for a total of $29,050.93 for the period commencing June 1, 2009 through August 31, 2009 (the "Interim Period"). In support of its Application, WHS respectfully states as follows:

AMENDED SECOND INTERIM FEE APPLICATION OF WARREN H. SMITH & ASSOCIATES, P.C. - Page 3 of Page 13

Background 1. On March 9, 2009, the Debtors filed voluntary petitions in this Court for relief under

Chapter 11 of the Bankruptcy Code (the "Code"), 11 U.S.C. '' 101 et. seq., as amended. The Debtors continued in possession of their assets and were authorized to operate and manage their respective businesses pursuant to Bankruptcy Code '' 1107 and 1108. 2. On April 8, 2009, this Court signed the Fee Auditor Order, approving the retention of

WHS as fee auditor for the Debtors. The Fee Auditor Order authorized WHS to be compensated: the lesser of (a) the ordinary hourly rate of the Fee Auditor for services of this nature or (b) of the aggregate Applicant billings (fees and expenses) reviewed by the Fee Auditor that are subject to this Order over the life of these Chapter 11 Cases. Compensation Paid and its Source 3. All services for which compensation is requested by WHS were performed for or

on behalf of the bankruptcy estate and the Debtors and not on behalf of any committee, creditor or other person. 4. Other than interim payments from the Debtors set forth in the notice, above, WHS

has received no payment or promise for payment from any source for services rendered or to be rendered in any capacity whatsoever in connection with these cases, and there is no agreement or understanding between WHS and any other person other than members of the firm for the sharing of compensation to be received for services rendered in these cases. Summary of Services 5. Attached hereto as Exhibit B are WHS=s billing statements for the Interim Period.

These statements contain detailed daily time logs describing the time expended by each attorney and para-professional for the Interim Period. 6. To the best of WHS=s knowledge, this Application complies with sections 330 and

AMENDED SECOND INTERIM FEE APPLICATION OF WARREN H. SMITH & ASSOCIATES, P.C. - Page 4 of Page 13

331 of the Bankruptcy Code, the Federal Rules of Bankruptcy Procedure, the Guidelines adopted by the Office of thee United State Trustee, Local Rule 2016-2 of the Local Rules of the United States Bankruptcy Court for the District of Delaware, Amended Effective February 1, 2001, and the Administrative Order. 7. During the Interim Period, WHS spent 2.90 hours of time for $338.50 in fees

seeking its own compensation. The professionals of WHS whom have rendered professional services to the Debtors in these cases during the Interim Period are Bobbi Ruhlander, Warren H. Smith and Mark Steirer. The para-professionals of WHS whom have rendered professional services to the Debtors in these cases during the Interim Period are James Wehrmann, Doreen Williams, Alexa L. Parnell, Leah Schier, and Melanie White. Disbursements 8. WHS has incurred $42.93 in disbursements for the Interim Period for copies,

postage, long distance, travel expenses, Pacer research and third party copies and document mailing expenses. Valuation of Services 9. The rates charged by each professional during the Interim Period are set forth in

Exhibit A. These rates are equal to or below WHS's normal hourly rates of compensation for work of this character. Attorneys and para-professionals of WHS have expended a total of 174.50 hours in connection with this matter during the Interim Period. The reasonable value of the services rendered by WHS for the Interim Period in these cases under Chapter 11 is 10. In accordance with the factors enumerated in 11 U.S.C. ' 330, the amount of fees

and expenses requested by WHS is fair and reasonable given (a) the complexity of these cases, (b) the time expended, (c) the nature and extent of the services rendered, (d) the value of such services, and (e) the costs of comparable services other than in a case under this title. Moreover, WHS has

AMENDED SECOND INTERIM FEE APPLICATION OF WARREN H. SMITH & ASSOCIATES, P.C. - Page 5 of Page 13

reviewed the requirements of Local Rule 2016-2 of the Local Rules of the United States Bankruptcy Court for the District of Delaware, Amended Effective February 1, 2001, and believes that this application complies with that rule. WHEREFORE, WHS respectfully requests that an allowance be made to it in the amount of $29,008.00 as compensation for necessary professional services rendered, and the sum of $42.93 as reimbursement of actual necessary costs and expenses, for a total of $29,050.93 for the period commencing June 1, 2009 through August 31, 2009, that such sums be authorized for payment, and for such other and further relief as this Court may deem just and proper. Dated: December 16, 2009 WARREN H. SMITH & ASSOCIATES, P.C.

Warren H. Smith Republic Center 325 N. St. Paul, Suite 1250 Dallas, Texas 75201 (214) 698-3868 (214) 722-0081 FAX whsmith@whsmithlaw.com

AMENDED SECOND INTERIM FEE APPLICATION OF WARREN H. SMITH & ASSOCIATES, P.C. - Page 6 of Page 13

CERTIFICATE OF SERVICE I, Warren H. Smith, caused the preceding report to be served by First Class United States mail on the persons on the service list attached to the original on file, this 16th day of December, 2009. Copies of the service list may be obtained by contacting the undersigned.

Warren H. Smith

AMENDED SECOND INTERIM FEE APPLICATION OF WARREN H. SMITH & ASSOCIATES, P.C. - Page 7 of Page 13

VERIFICATION STATE OF TEXAS COUNTY OF DALLAS ' ' '

SS:

Warren H. Smith, after being duly sworn according to law, deposes and says: 1. I am the principal in the applicant firm, Warren H. Smith & Associates, P.C., and

have been admitted to the bar of the Supreme Court of Texas since 1987. 2. I have personally performed many of the services rendered by Warren H. Smith &

Associates, P.C. as fee auditor in these cases and am thoroughly familiar with all other work performed by the professionals in the firm. 3. I have reviewed the foregoing Application and the facts set forth therein are true and

correct to the best of my knowledge, information and belief. Moreover, I have reviewed Local Rule 2016-2 of the Local Rules of the United States Bankruptcy Court for the District of Delaware, Amended Effective February 1, 2001, and submit that the Application substantially complies with such rule.

Warren H. Smith

SWORN TO AND SUBSCRIBED before me, a Notary Public for the State and County aforesaid, on the 16th day of December, 2009.

AMENDED SECOND INTERIM FEE APPLICATION OF WARREN H. SMITH & ASSOCIATES, P.C. - Page 8 of Page 13

UNITED STATES BANKRUPTCY COURT DISTRICT OF DELAWARE In Re: PACIFIC ENERGY RESOURCES LTD., et al., Debtors. Chapter 11 Jointly Administered Case No. 09-10785 (KJC)

ORDER APPROVING AMENDED SECOND INTERIM VERIFIED FEE APPLICATION OF WARREN H. SMITH & ASSOCIATES, P.C. FOR ALLOWANCE OF COMPENSATION AND REIMBURSEMENT OF EXPENSES AND NOW, this day of December, 2009, upon the Second Interim Verified

Fee Application of Warren H. Smith & Associates, P.C. for Allowance of Compensation and Reimbursement of Expenses (the "Application") dated December 16, 2009, the Court having been satisfied that the interim compensation and reimbursement requested therein is reasonable and justified given (a) the complexity of these cases, (b) the time expended, (c) the nature and extent of the services rendered, (d) the value of such services and (e) the costs of comparable services in cases other than cases under Title 11, and after notice and a hearing; IT IS HEREBY ORDERED that the Application is approved and that the Debtors, or their successors in interest, are authorized and directed to pay to Warren H. Smith & Associates, P.C. the sum of $29,008.00 as compensation for necessary professional services rendered, and the sum of $42.93 as reimbursement of actual necessary costs and expenses, for a total of $29,050.93 for the period commencing June 1, 2009 through August 31, 2009.

United States Bankruptcy Judge

AMENDED SECOND INTERIM FEE APPLICATION OF WARREN H. SMITH & ASSOCIATES, P.C. - Page 9 of Page 13

Service List United States Trustee Office of the United States Trustee 844 N. King Street, Room 2207 Lock Box 35 Wilmington, DE 19801 Counsel to the Debtors Laura Davis Jones, Esq. James E. ONeill, Esq. Kathleen P. Makowski, Esq. Pachulski Stang Ziehl & LLP 919 North Market Street, 17th Floor P.O. Box 8705 Wilmington DE 19899 Counsel to the Debtors Ian S. Fredericks, Esq. Skadden Arps, Slate, Meagher & Flom LLP One Rodney Square P.O. Box 636 Wilmington, DE 19899

Special Counsel to the Debtors Penelope Parmes, Esq. Rutan & Tucker, LLP 611 Anton Boulevard 14th Floor Costa Mesa, CA 92626 Canadian Counsel to the Debtors Jensen Lunny MacInnes Law Corporation H.C. Ritchie Clark, Q.C. P.O. Box 12077 Suite 2550 555 West Hastings Street Vancouver, BC V6B 4N5 Engineering Consultant to the Debtors Mark A. Clemans Millstream Energy, LLC 4918 Menlo Park Drive Sugarland, TX 77479

Special Oil and Gas Transactional Counsel to the Debtors


AMENDED SECOND INTERIM FEE APPLICATION OF WARREN H. SMITH & ASSOCIATES, P.C. - Page 10 of Page 13

Anthony C. Marino, Esq. Schully, Roberts, Slattery & Marino PLC Energy Centre 1100 Poydras Street, Suite 1800, New Orleans, LA 70163 Financial Advisor to the Debtors Curtis A. McClam Deloitte Financial Advisory Services LLP 350 South Grand Ave, Ste. 200 Los Angeles, CA 90071 Financial Advisor to the Debtors John Rutherford Lazard Freres & Co. LLC 30 Rockefeller Plaza, 61st Floor New York, NY 10020 Co-Counsel to the Official Committee of Unsecured Creditors David B. Stratton, Esq. James C. Carignan, Esq. Pepper Hamilton LLP Hercules Plaza, Suite 1500 1313 Market Street Wilmington, DE 19899 Co-Counsel to the Official Committee of Unsecured Creditors Filiberto Agusti, Esq. Steven Reed, Esq. Joshua Taylor, Esq. Steptoe & Johnson LLP 1330 Connecticut Avenue NW Washington, DC 20036 Debtors Pacific Energy 111 W. Ocean Blvd., Suite 1240 Long Beach, CA 90802

AMENDED SECOND INTERIM FEE APPLICATION OF WARREN H. SMITH & ASSOCIATES, P.C. - Page 11 of Page 13

Exhibit A
Position, No. of Years in that Position,Year Licensed Principal of firm formed in 2001. Member of Texas Bar since 1987, Illinois Bar since 1979. Member of Texas Bar since 1991 Legal Assistant since 1982 Legal Assistant since 1984 Legal Assistant since 1989 Clerk since 2009 Member of Texas Bar since 1991 Paralegal since 2005 Paralegal since 2005
Rate Per Hour

Name of Professional Warren H. Smith

Total Billed Hours 0.40

Total Compensation

$295

$118.00

Mark Streirer Doreen T. Williams Alexa Parnell James Wehrmann Leah Schier Bobbi Ruhlander Melanie White Melanie White

$260 $165 $170 $150 $45 $260 $45 $130

22.50 4.10 83.70 1.70 0.90 0.80 2.60 57.80 174.50

$5,850.00 $676.50 $14,229.00 $255.00 $40.50 $208.00 $117.00 $7,514.00 $29,008.00

Total Hours 174.50 Total Fees $29,008.00

AMENDED SECOND INTERIM FEE APPLICATION OF WARREN H. SMITH & ASSOCIATES, P.C. - Page 12 of Page 13

Exhibit B

(see attached)

AMENDED SECOND INTERIM FEE APPLICATION OF WARREN H. SMITH & ASSOCIATES, P.C. - Page 13 of Page 13

Warren H. Smith & Associates, P.C.


325 North St. Paul Street Suite 1250 Dallas, TX 75201 Tax Id# 01-0584406

Invoice submitted to: Pacific Energy

October 06, 2009

Invoice #10103

Professional Services Hours 7/14/2009 ALP Reviewed Fee Auditor Order (.2); telephone conference with Warren Smith regarding same (.1) Conference with A. Parnell and D. Williams re Pacific Energy deadlines. 0.30 Amount 51.00

MW

0.20

26.00

7/15/2009 MW

Update database with Pachulski's March fee application (.2); create database re same (.1). Update database with Schully's March fee application and fee detail (.2), April e-detail (.1), May e-detail (.2) and Pachulski's April fee application and e-detail (.2). Extended telephone conferences with Doreen regarding status of 1st interim period (3-5.08) (.2)

0.30

13.50

MW

0.70

31.50

ALP

0.20

34.00

WHS receive, review, and respond to e-mail from Harrison Williams re fee audit process DTW Research docket for quarterly applications (.8); drafting memo re same (.5); telephone call with A. Parnell re research (.2). 7/16/2009 DTW Research fees and expenses requested to date (1.2).

0.20

59.00

1.50

247.50

1.20

198.00

214 698-3868

Pacific Energy

Page

Hours 7/20/2009 DTW Drafting status chart for first interim period (.5); telephone call with A. Parnell re status and update chart re same (.4); emails to M. White and A. Parnell re same (.1). 8/5/2009 MW Draft first monthly fee application of WHSA for July 2009 (.7); confer with A. Parnell re service list for same (.1); detailed review of fees and expenses for July (.2); send same to J. Wehrmann and W. Smith for final approval (.1). 1.00

Amount 165.00

1.10

143.00

8/6/2009 JAW Proofread July Fee Application and fee and expense detail of WH Smith (0.1); e-mail to M. White re: any revisions to same (0.1) ALP Drafted service list (.7)

0.20

30.00

0.70

119.00

8/7/2009 MW

Electronic filing with court of Monthly Application for Compensation for WHSA for July 2009 (.3); update database with same (.1) and prepare for service (.1). Research PACER and database for previous orders regarding compensation and fee auditor employment to evaluate the necessity of revisions. Draft detailed spreadsheet with status of all applicants and submission of applications (1.4); research PACER and database re: filed applications (.6); confer with A. Parnell re same (.2); draft email to Amie Tancas at Rutan requesting searchable versions of fee applications for March-May (.1); draft email to A. Parnell with list of applications received on 7/16/09 (.4). Reviewed Millstream Energy's monthly and interim fee applications regarding 1st interim period (3-5.09) (3.7) Reviewed status of filed monthly and interim fee applications regarding the 1st interim period (3-5.09) (.4); e-mails and telephone conferences with Melanie White and Warren Smith regarding same (.3) Conference with Amie Tancas regarding fee detail sent (.1); receive and review fee detail in PDF version (.2); update database with same (.3); 2nd phone call with Amie Tancas requesting excel or word searchable versions (.1). Receive and review initial report re: Millstream for first interim period (.2); finalize same and serve on parties (.1); confer with A. Parnell re same (.1).

0.50

22.50

8/9/2009 MW

0.70

91.00

8/11/2009 MW

2.70

351.00

ALP

3.70

629.00

ALP

0.70

119.00

8/12/2009 MW

0.70

91.00

MW

0.40

52.00

Pacific Energy

Page

Hours 8/12/2009 LS Update database with IR Millstream 1st Interim 0.20

Amount 9.00

MW

Conference with A. Parnell regarding review of applications (.2); confer with W. Smith re review status and applicant submittal status (.2).

0.40

52.00

DTW Telephone call with A. Parnell re Millstream and review and revise initial report for Millstream (.3). ALP Drafted initial report to Millstream Energy regarding 1st interim period (3-5.09) (4.2); reviewed retention order (.3); drafted e-mail to Scotta McFarland (Pachulski) and Warren Smith regarding same (.1) Update database with Pachulski's electronic fee detail for the first interim.

0.30

49.50

4.60

782.00

8/13/2009 MW

0.20

9.00

MW

Begin detailed review of Pachulski's March fees and expenses.

3.00

390.00

MW

Draft updated chart with applicants and fee detail submittal status.

0.30

39.00

MW

Conference with Glen regarding submission of fee detail.

0.10

13.00

MW

Conference with Brian Dunn at Lazard regarding fee applications and submittal process. Continue detailed review of Pachulski's fee and expense detail for March 2009 (5.0); begin draft summary re findings during review (.3). Conference with C. Knotts at Pachulski re fee detail.

0.10

13.00

8/14/2009 MW

5.30

689.00

MW

0.10

13.00

MW

Conference with A. Tancas and Matthew at Rutan Tucker regarding format of fee and expense detail (.2); several email exchanges re same (.1); confer with B. Ruhlander re email from Lazard with interim fee application (.1); draft email to Lazard requesting editable versions of same (.1); update database with PDF version of same (.2); update chart listing applicants and application submittal status (.5); send same to A. Parnell and W. Smith (.1).

1.30

169.00

Pacific Energy

Page

Hours 8/14/2009 ALP Reviewed Pepper Hamilton's retention order (.4); reviewed Pepper Hamilton's monthly and interim fee applications regarding the 1st interim period (3-5.09) (3.4) Reviewed Deloitte's monthly and interim fee applications regarding the 1st interim period (3-5.09) (4.1) 3.80

Amount 646.00

ALP

4.10

697.00

JAW detailed review of Deloitte FAS March 26, 2009 - April 30, 2009 Fee Application (1.0); draft summary of same (0.5) 8/15/2009 MW Continue detailed review of Pachulski's monthly fees and expenses for March 2009 and April 2009. Reviewed Schully Roberts monthly fee applications regarding the 1st interim period (3-5.09) (4.4) Reviewed Jensen Lunny's monthly fee applications regarding the 1st interim period (3-5.09) (4.9) Detailed review of Pachulski's fees and expenses for April 2009 (4.0); draft summary for March 2009 review (2.0). Brief review of Millstream Energy's response to initial report regarding 1st interim period (3-5.09) (.4) Continued reviewing Jenny Lunny's monthly fee applications regarding 1st interim period (3-5.09) (2.4) Continued reviewing Schully Roberts' monthly and interim fee applications regarding 1st interim period (3-5.09) (2.9) Conference with A. Parnell re review status of 1st interim fee applications (.2); finish summary re March review (1.8); continue review of April 2009 fees and expenses (2.0); begin draft summary re April review (2.4).

1.50

225.00

6.00

780.00

ALP

4.40

748.00

ALP

4.90

833.00

8/17/2009 MW

6.00

780.00

ALP

0.40

68.00

8/18/2009 ALP

2.40

408.00

ALP

2.90

493.00

MW

6.40

832.00

8/19/2009 MWS meet with Alexa L. Parnell regarding Pacific Energy applicants (0.2); initial review of files (0.4). MWS review fee application and retention documents relating to Rutan & Tucker (0.7); review March detail for Rutan firm (1.6); review April detail for Rutan firm (0.8).

0.60

156.00

3.10

806.00

Pacific Energy

Page

Hours 8/19/2009 MW Finish review of Pachulski's April fees and expenses (4.0); continue drafting summary re same in preparation for drafting IR (2.0). 6.00

Amount 780.00

8/20/2009 MWS review retention documents relating to auditor Meyers Norris Penny (0.7); review fee application of Meyers Norris Penny for first interim period (0.9). MWS finish reviewing April detail for Rutan & Tucker (0.8); review May detail (1.7).

1.60

416.00

2.50

650.00

8/21/2009 MW

Finalize draft summary of Pachulski's April fee and expense issues (1.8); begin detailed review of May 2009 fees and expenses of Pachulski (6.0). Reviewed Pepper Hamilton's monthly and interim fee applications regarding the 1st interim period (3-5.09) (1.7) Drafted initial report to Pepper Hamilton regarding the 1st interim period (3-5.09) (2.3) Drafted final report to Millstream regarding 1st interim period (3-5.09) (2.3)

7.80

1,014.00

8/22/2009 ALP

1.70

289.00

ALP

2.30

391.00

8/24/2009 ALP

2.30

391.00

ALP

Reviewed Millstream's response to initial report regarding 1st interim period (3-5.09) (1.1)

1.10

187.00

MWS review fee application of Meyers Norris Penny for first interim period.

0.50

130.00

MWS review retention documents regarding Steptoe & Johnson (0.5); review fee detail for March 2009 (1.0). DTW Review and revise Deloitte 1st interim initial report (.1).

1.50

390.00

0.10

16.50

ALP

Drafted initial report to Deloitte regarding 1st interim period (3-5.09) (2.8); drafted e-mail to James Carignan regarding same (.1) Update database with Deloitte IR 1st Interim (.40); Millstream FR 1st Interim (.30)

2.90

493.00

LS

0.70

31.50

Pacific Energy

Page

Hours 8/24/2009 MW Continue detailed review of Pachulski's May fees and expenses (2.8); begin draft summary re issues found during review (2.1). Electronic filing with court of Millstream Energy's 1st interim final report. 4.90

Amount 637.00

MW

0.30

13.50

WHS detailed review of, and revisions to, FR Millstream 1st int 3-5.09

0.20

59.00

ALP

Reviewed Deloitte's May, 2009 monthly invoice (1.7)

1.70

289.00

ALP

Reviewed Deloitte's retention order and retention documents (.4)

0.40

68.00

8/25/2009 ALP

Reviewed Deloitte's response to 1st interim period initial report (3-5.09) (1.4)

1.40

238.00

MWS review Steptoe & Johnson fee detail for March 2009 (0.6); review April detail (1.3). MW Finish drafting summary re Pachulski's May fees and expenses (3.1); send same to A. Parnell to draft initial report (.1).

1.90

494.00

3.20

416.00

8/26/2009 MWS review Lazard retention documents (0.6); review Lazard fee application for first interim period (1.1). MWS review Steptoe & Johnson fee detail for April 2009 (0.5); review May fee detail (1.7). MW Update database with 1st interim response of Deloitte (.1), July fee detail of Steptoe Johnson (.2). Reviewed Schully's monthly fee applications regarding the 1st interim period (3-5.09) (3.3)

1.70

442.00

2.20

572.00

0.30

13.50

ALP

3.30

561.00

8/27/2009 MWS review Lazard fee application for first interim period (0.7); draft initial report regarding same (3.4). MWS emails with Alexa L. Parnell regarding status of initial reports.

4.10

1,066.00

0.10

26.00

Pacific Energy

Page

Hours 8/27/2009 ALP Reviewed Schully Roberts monthly and interim fee applications regarding the 1st interim period (3-5.09) (2.3); reviewed amended retention order (.3) Drafted initial report to Schully Roberts regarding the 1st interim period (3-5.09) (4.3) 2.60

Amount 442.00

ALP

4.30

731.00

8/28/2009 MWS draft initial report regarding fee application of Lazard for first interim period.

2.50

650.00

BSR Receive and review draft initial report re Schully for the 1st interim period

0.10

26.00

ALP

Drafted and responded to e-mails with Lynn Wolf (Schully Roberts) regarding 1st interim initial report (3-5.09) (.2) Reviewed Jensen Lunny's monthly fee applications regarding the 1st interim period (3-5.09) (4.3); reviewed retention order (.3) Drafted initial report to Jensen Lunny regarding the 1st interim period (3-5.09) (2.8) Continued drafting initial report to Jensen Lunny regarding the 1st interim period (3-5.09) (3.1) Draft Certificate of No Objection re July fee application of Warren H. Smith & Associates (.4); electronic filing with Court re same (.3); research PACER for objections re same (.4). Finalized drafting of initial report to Jensen Lunny regarding the 1st interim period (3-5.09) (1.7) Reviewed Deloitte's response to initial report concerning the 1st interim period (3-5.09) (1.4) Drafted final report to Deloitte regarding the 1st interim period (3-5.09) (3.2); drafted e-mail to Ramesh Swamy (Deloitte) regarding same (.1)

0.20

34.00

ALP

4.60

782.00

ALP

2.80

476.00

8/29/2009 ALP

3.10

527.00

MW

1.10

143.00

8/30/2009 ALP

1.70

289.00

ALP

1.40

238.00

ALP

3.30

561.00

BSR Receive and review draft initial report re Jensen Lunny's first interim fee application 8/31/2009 BSR Receive and review draft initial report re Lazard Freres and revise same

0.20

52.00

0.50

130.00

Pacific Energy

Page

Hours 8/31/2009 ALP Drafted final revisions to Lazard's initial report regarding the 1st interim period (3-5.09) (1.7); drafted e-mail to Mark Steirer regarding same (.1) Drafted initial report to Pachulski regarding the 1st interim period (3-5.09) (3.7) Reviewed Pachulski's monthly and interim fee applications regarding the 1st interim period (3-5.09) (3.8) 1.80

Amount 306.00

ALP

3.70

629.00

ALP

3.80

646.00

MWS revise Lazard initial report per request of Alexa L. Parnell.

0.20

52.00

MW

Update database with Jensen's 1st interim initial report and Lazard's initial report. Drafted and responded to e-mails with Scotta McFarland (Pachulski) regarding Jensen Lunny and Lazard's initial reports regarding the 1st interim period (3-5.09) (.2)

0.30

13.50

ALP

0.20

34.00

For professional services rendered Additional Charges : 8/31/2009 Third party copies & document prep/setup.

174.50 $29,008.00

42.37

PACER 7/1-7/31

0.56

Total additional charges

$42.93

Total amount of this bill

$29,050.93

Timekeeper Summary Name Alexa L. Parnell Bobbi S. Ruhlander Doreen Williams James A. Wehrmann Leah Schier

Hours 83.70 0.80 4.10 1.70 0.90

Rate 170.00 260.00 165.00 150.00 45.00

Amount $14,229.00 $208.00 $676.50 $255.00 $40.50

Pacific Energy

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Name Mark W Steirer Melanie White Melanie White Warren H Smith

Hours 22.50 57.80 2.60 0.40

Rate 260.00 130.00 45.00 295.00

Amount $5,850.00 $7,514.00 $117.00 $118.00

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