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RON BENDER (SBN 143364)
TODD M. ARNOLD (SBN 221868)
JOHN-PATRICK M. FRITZ (SBN 245240)
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
10250 Constellation Boulevard, Suite 1700
Los Angeles, California 90067
Telephone: (310) 229-1234; Facsimile: (310) 229-1244
Email: rb@LNBYB.com; tma@LNBYB.com; jpf@LNBYB.com
Attorneys for Chapter 11 Debtors
and Debtors in Possession
UNITED STATES BANKRUPTCY COURT
CENTRAL DISTRICT OF CALIFORNIA
(SANTA ANA DIVISION)
In re:
WESTCLIFF MEDICAL
LABORATORIES, INC.,
Debtor.
____________________________
BIOLABS, INC.,
Debtor.
____________________________
Affects Both Debtors
Affects WESTCLIFF MEDICAL
LABORATORIES, INC. only
Affects BIOLABS, INC. only
Lead Case No. 8:10-bk-16743-TA
Jointly Administered with Case
No. 8:10-bk-16746-TA
Chapter 11 Cases
SECOND INTERIM APPLICATION OF
LEVENE, NEALE, BENDER, YOO &
BRILL L.L.P. FOR APPROVAL OF FEES
AND REIMBURSEMENT OF EXPENSES;
DECLARATION OF RON BENDER, ESQ.
Court Scheduled Hearing:
Date: December 22, 2010
Time: 10:00 a.m.
Place: Courtroom 5B
411 West Fourth Street
Santa Ana, CA 92701-4593
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TO THE HONORABLE THEODOR C. ALBERT, UNITED STATES BANKRUPTCY
JUDGE:
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P. (LNBYB),
1
bankruptcy counsel to Westcliff Medical Laboratories, Inc.
(Westcliff) and BioLabs, Inc. (BioLabs), the Chapter 11
debtors and debtors in possession herein (collectively, the
Debtors), hereby submits its Second Interim Application for
Approval of Fees and Reimbursement of Expenses (the
Application) for services rendered and expenses incurred during
the pendency of these Chapter 11 bankruptcy case, for the period
of August 1, 2010 (the Petition Date) through November 30, 2010
(the "Covered Period").
I.
FEES AND EXPENSES INCURRED AND NOTICE
A. Request For Allowance and Payment of Fees and
Reimbursement of Expenses.
During the Covered Period of August 1, 2010 through November
30, 2010, LNBYB incurred fees in the amount of $154,333.25 and
expenses in the amount of $13,461.74
2
for total fees and expenses
1
On the date of the filing of the Debtors Chapter 11 cases, the name
of the firm was Levene, Neale, Bender, Rankin & Brill L.L.P. The firm
changed its name to Levene, Neale, Bender, Yoo & Brill L.L.P.
effective on July 1, 2010.
2
As LNBYB explained in its first interim fee application, there is
frequently some lag time between the date when expenses are incurred
by LNBYB and the date such expenses are recorded into LNBYB's billing
system. This figure of $13,461.74 of expenses included in this
Application includes $2,295.79 of expenses which incurred from the
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in the amount of $167,794.99. LNBYB therefore seeks Court
approval of $167,794.99 for fees and expenses incurred during the
Covered Period, and LNBYB seeks Court authority for the Debtors
to pay this amount to LNBYB.
B. Proper Notice.
Pursuant to Federal Rule of Bankruptcy Procedure 2002(a)(6)
and a prior limiting notice order entered by the Court, LNBYB has
served notice of this Application and the amount of fees and
expenses sought herein (as well as the fees and expenses
requested by all of the professionals employed in these cases)
upon the Office of the United States Trustee (the OUST), the
Official Committee of Unsecured Creditors (the "Committee"), and
all parties who have requested special notice.
///
///
Petition Date through the last day of LNBYB's first interim fee
application. A complete listing of all $77,702.33 of expenses
incurred by LNBYB from the Petition Date through the end of the
Covered Period is included with Exhibit "B" to this Application.
LNBYB was paid a total of $64,240.59 in connection with its first
interim fee application, leaving an outstanding balance owing through
the end of the Covered Period of $13,461.74. In addition, it is
possible that LNBYB has incurred additional expenses during the
Covered Period which are not included in this Application. If that is
the case, LNBYB will include such additional expenses in connection
with LNBYB's next fee application.
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II.
BRIEF NARRATIVE HISTORY OF THE PRESENT POSTURE OF THE DEBTORS
CHAPTER 11 CASES, CIRCUMSTANCES THAT LED TO THE FILING OF THE
DEBTORS CHAPTER 11 CASES, AND SIGNIFICANT EVENTS WHICH OCCURRED
DURING THE COVERED PERIOD
A. Description and History of the Debtor Business, Case
Background and Necessity for Filing Chapter 11.
The Debtors commenced their bankruptcy cases by filing
voluntary petitions under Chapter 11 of 11 U.S.C. 101 et seq.
(the Bankruptcy Code) on May 19, 2010. The Debtors continue to
operate their business, manage their financial affairs, and
operate their bankruptcy estates as debtors in possession
pursuant to sections 1107 and 1108 of the Bankruptcy Code.
BioLabs is the parent company to Westcliff, which is the
operating company. The only material asset owned by BioLabs is
its stock interest in the Debtor. Biolabs was organized for the
purposes of acquiring 100% of the capital stock and other equity
interests of Westcliff.
Westcliff was founded in 1964 as a community-based
laboratory and is headquartered in Santa Ana, California.
Westcliff was the operator of approximately 170 branded, stand-
alone, patient service center laboratories and STAT labs that
provide various services, including clinical testing, pathology,
reporting and support services for the benefit of thousands of
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out-patients throughout California. The Debtors had nearly 1000
employees.
The Debtors main clinical hub was an 80,000 square foot
facility located in Santa Ana, California that opened in 2006.
The Debtors primary anatomical pathology lab was a 12,800 square
foot facility located in Monrovia, California that opened in
2008.
Working directly with patients and with contracted payors,
including United Health, Aetna, Cigna, Blue Cross, Medi-Cal and
Medicare, Westcliff grew and became a leading out-patient
laboratory service company. Westcliffs lab operations
demonstrated industry-leading results, with low testing turn-
around times, high quality control scores, and a strong and
experienced sales and marketing team.
Westcliff averaged approximately 8,500 clinical requests per
day and approximately 1,200 pathology requests per day, and
performed approximately 250,000 cytology and 70,000 biopsy tests
on an annual basis. Based on this performance, the Debtors had
approximately $97 million in net revenue in 2009 and were the
third largest clinical laboratory in California.
The California clinical laboratory testing market is the
largest in the nation, with estimated revenues of approximately
$2 billion. Approximately 8% of the nations tests are performed
in California, and over 200 million of Californias tests are
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conducted by independent labs (excluding hospital based labs).
The Debtors business accounted for approximately 5% of the
California market.
Much of the Debtors growth came from the acquisition of
other labs, which caused the Debtors to incur a substantial
amount of debt. The Debtors owed approximately $56 million (the
Senior Debt) to a group of lenders (the Senior Lenders) for
whom GE Business Financial Services, Inc. acts as agent (in such
capacity, the Senior Loan Agent). The Senior Debt was secured
by a first priority security interest and lien against all or
substantially all of the Debtors assets. Any other secured debt
of the Debtors was relatively small in nature and related to
liens against only certain of the Debtors equipment. The
Debtors also have a substantial amount of unsecured debt.
While the Debtors revenue was significant, due to the small
profit margins in this business, despite substantial and
continuing cost cutting measures undertaken by the Debtors, the
Debtors were simply not able to operate sufficiently profitably
to enable the Debtors to repay their debts.
The Debtors suffered a net loss of approximately $87 million
in 2008 (including expenses and write offs of approximately $171
million) on net revenue of approximately $84 million. The
Debtors suffered a net loss of approximately $13 million in 2009
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(including expenses and write offs of approximately $110 million)
on net revenue of approximately $97 million.
While the Debtors instituted as many expense reductions as
were reasonably possible, the Debtors losses continued. Since
the beginning of 2009, the Debtors were unable to make any debt
service payments to the Senior Lenders, and the Debtors were
unable to remain current with their other debt obligations,
including payments owing to former owners of companies the
Debtors previously purchased as part of the Debtors overall
growth strategy. Indeed, the Debtors were only able to survive
financially since the beginning of 2009 because the Senior Loan
Agent provided the Debtors with emergency funding to cover
payroll and other vital expenses.
The only way the Debtors could have survived as a stand
alone going concern business would have been for the Debtors to
raise many millions of dollars of additional equity which was not
possible given the Debtors extensive debt structure.
It therefore became clear to the Debtors in early 2009 that
the only viable option available to the Debtors to avoid a shut
down of their business and the loss of employment by all of the
Debtors employees would be for the Debtors to sell their
business as a going concern to the highest bidder. The Debtors
therefore engaged in an active sale process since early, 2009.
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To assist the Debtors with this sale process, the Debtors
engaged MTS Health Partners, LP (MTS) in October, 2009 as a
financial advisor to assist the Debtors with their sale process.
3
MTS, working closely with the Debtors, conducted an exhaustive
sale process, having prepared detailed sale materials and having
had extensive discussions and interactions with numerous
prospective buyers, both strategic buyers and financial buyers.
After having engaged in substantial due diligence and
negotiations with a number of different prospective buyers over
many months, MTS and the Debtors collectively concluded that
LabCorp was the optimal buyer of the Debtors assets for three
primary reasons. First, LabCorp, which is in the same business
as Westcliff but is a much larger company, expressed the greatest
interest in purchasing the Debtors assets. Second, it was clear
that LabCorp as a strategic buyer was willing to pay a
substantially higher price for the Debtors assets than any other
prospective buyer. Third, LabCorp clearly had the financial
means to consummate its purchase of the Debtors assets.
The Debtors engaged in extensive negotiations with LabCorp
prior to the Petition Date over the details of an asset sale and
the terms of a written asset purchase agreement (the APA) and
related documents. Shortly prior to the Petition Date, the
3
The Debtors had used other professionals for this same purpose in the
past.
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Debtors and LabCorp executed the APA and related documents. The
Debtors bankruptcy cases were commenced to enable the Debtors to
consummate their asset sale to LabCorp, as obtaining a bankruptcy
free and clear sale order was a fundamental deal point for
LabCorp.
B. The Present Status of the Debtors Chapter 11 Cases.
LabCorps purchase price was $57.5 million subject to
certain adjustments, while leaving with the Debtors, among other
things, all of the Debtors accounts receivable (which the
Debtors estimated would result in an additional net recovery of
approximately $8,000,000 for the Debtors estates) and all of the
Debtors cash. The APA provided that the purchase price would be
adjusted downward if there was a meaningful reduction in
Westcliffs post-petition business volume pending the closing of
the sale and if that reduction became too large LabCorp had the
ability to walk away from this transaction completely.
The possibility of the Debtors suffering a reduction in
revenue as a result of their bankruptcy filings in this very
competitive industry and the resulting negative impact on the
purchase price to be paid by LabCorp, or, worse, a complete walk
away by LabCorp, is the reason why it was so critical that this
sale transaction occur on a very expedited basis.
The Debtors also agreed with LabCorp that in connection with
the sale closing, the Debtors would be required to enter into a
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Transition Agreement with LabCorp. The purpose of the Transition
Agreement was to facilitate as smooth a transition of the
Debtors business and their employees to LabCorp as possible
under the circumstances at no additional cost to the Debtors
estates.
To make absolutely certain that the highest price possible
was paid for the Debtors assets, the Debtors and LabCorp agreed
to various overbid procedures which were approved by the Court.
As the Debtors and MTS expected (given the extensive pre-petition
marketing effort which was undertaken by MTS), no overbid was
submitted.
The Debtors requested and urged the Court to approve the
Debtors asset sale to LabCorp on a very expedited basis because
of the severe risk of a deterioration of Westcliffs business
resulting from the Debtors bankruptcy filings. This is a highly
sensitive and extremely competitive industry, and the Debtors
were extremely concerned that Westcliff would not be able to
retain its customer base for any extended period of time while
operating as a debtor in bankruptcy.
At the urging of the Debtors (with the full support of the
Committee and the Senior Lenders), the Court approved the
Debtors asset sale to LabCorp at a hearing held on June 3, 2010,
and the Court entered an order approving the sale on Wednesday,
June 9, 2010. Prior to the sale hearing, the Debtors, the
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Committee and the Senior Lenders reached an agreement on an
allocation of the LabCorp purchase price and the balance of the
Debtors assets (the Asset Allocation Agreement), which was
acceptable to all parties and which was subsequently approved by
the Court.
The LabCorp APA required LabCorp to consummate its purchase
of the Debtors assets within two days following entry of the
LabCorp sale order, which was Friday, June 11, 2010. However, at
some point prior to June 11, 2010, the Federal Trade Commission
(the FTC) staff contacted Labcorp and the Debtors to request
information related to the Debtors asset sale to LabCorp. The
Debtors did not believe that this inquiry made by the FTC staff
constituted a Proceeding as that term is defined in the LabCorp
APA that would have given LabCorp any legitimate basis to refuse
to close its purchase by Friday, June 11, 2010. Notwithstanding
the foregoing, as a result of the FTC situation, LabCorp did not
close its purchase of the Debtors assets as scheduled, and
LabCorp initially advised the Debtors that it is not willing to
close its purchase until the FTC situation was resolved.
Quest is the largest participant in the marketplace of the
Debtors' business (with significantly more market share than any
other party); LabCorp is the second largest participant in the
marketplace of the Debtors' business; and Westcliff was the third
largest participant in the marketplace of the Debtors' business.
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The FTC staff told the Debtors that the FTC staff had concerns
about whether a sale to LabCorp would lessen competition. The
FTC staff told the Debtors that the FTC staff would not have
concerns if the Debtors sold their assets to a buyer other than
LabCorp or Quest. However, the FTC staff told the Debtors that
they recognize the Debtors' grave financial predicament and dire
financial need to consummate an asset sale on a very expedited
basis.
The FTC staff suggested that the Debtors and MTS formulate a
sale process to be conducted on a very expedited basis to see if
there were any buyers other than Quest or LabCorp who could
consummate a sale quickly and receive Bankruptcy Court approval
of that sale (which necessarily would have required the consent
of the Senior Lenders). The FTC staff approved the form of
letter (the New Buyer Solicitation Letter) to be sent to
parties who previously submitted a formal written indication of
interest in purchasing Westcliffs business or its assets. The
FTC staff advised the Debtors that if no party other than Quest
or LabCorp could satisfy the foregoing, the FTC staff would not
challenge the Debtors sale to LabCorp, which the Court had
already approved, and the sale could close immediately.
Given that LabCorp had indicated to the Debtors that it was
not going to close its purchase until the FTC situation was
resolved, the Debtors had no choice but to proceed as the FTC
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suggested. The New Buyer Solicitation Letter provided that
prospective new buyers had until 5:00 p.m. Eastern Time on
Thursday, June 17, 2010 to submit a written qualifying purchase
offer to the Debtors.
As requested by the FTC, MTS sent the New Buyer Solicitation
Letter to all parties who previously submitted a formal written
indication of interest in purchasing Westcliffs business or its
assets, and MTS (and the Debtors) facilitated due diligence with
all such prospective buyers who desired to conduct due diligence.
Given the extreme time exigencies in these cases, as the
LabCorp APA set an outside closing date of June 23, 2010 and in
any event the Debtors were on the brink of running out of money,
the Debtors requested the Court to schedule a hearing to be held
on Friday, June 18, 2010 to consider a sale of the Debtors
assets to an alternative buyer if LabCorp refused to close
without the consent of the FTC. The Court accommodated the
Debtors and scheduled a hearing on the Debtors second sale
motion to be held on Friday, June 18, 2010 at 2:00 p.m.
The Debtors advised the Court that the Debtors would not
know until the bid deadline of June 17, 2010 at 5:00 p.m. Eastern
Time passed whether any new bids would be made for the Debtors
assets and, if any new bids were made, the terms of those bids.
The Debtors made clear in their second sale motion that the
Debtors did not believe that they had the legal ability to sell
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their assets to a new buyer unless the net sale proceeds enabled
the Debtors to pay the full approximately $56 million owing to
the Senior Lenders or the Senior Lenders consented to that sale.
These were facts and legal standards that the FTC chose to
ignore.
On June 16, 2010, LabCorp elected to consummate its purchase
of the Debtors assets, which rendered the Debtors second sale
motion moot. The Debtors therefore withdraw their second sale
motion.
An important condition to the LabCorp APA was the ability of
the Debtors to obtain Court approval of a pre-bankruptcy
settlement the Debtors reached with various qui tam litigants.
The qui tam litigants asserted claims against the Debtors of
more than $56 million. Absent a negotiated settlement,
resolution of those litigation claims would have taken years,
which would have made it impossible for the Debtors to consummate
a going concern sale of their business. All other buyers would
have required the same closing condition because any buyer of the
Debtors business would have insisted on knowing that it had no
monetary liability to the qui tam claimants and no ongoing
reporting requirements to the State of California. It would
therefore not have been possible for the Debtors to have obtained
LabCorps agreement to enter into the APA had the Debtors not
been able to obtain a pre-bankruptcy settlement with the qui tam
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claimants, and LabCorp would never have been willing to close its
purchase of the Debtors assets had the Court not approved the
Debtors pre-bankruptcy settlement agreement with the qui tam
claimants. Fortunately, the Court approved the Debtors pre-
bankruptcy settlement agreement with the qui tam claimants,
pursuant to which the qui tam claimants were paid 10% of the net
sale proceeds (after a deduction for all transaction expenses).
Particularly given the expedited nature of this sale, both
the Debtors and the Senior Lenders recognized that it was very
important that the sale of the Debtors assets to LabCorp inure
to the benefit of all creditors. The Debtors, the Senior Lenders
and the Committee after it was formed therefore engaged in a
substantial amount of discussion in order to achieve this result.
While the Senior Lenders were owed approximately $56 milliom
secured by a first priority lien against the Debtors assets, the
Senior Lenders agreed to leave behind for the benefit of these
estates a substantial amount of money to be used to pay to other
creditors. This was accomplished through the Asset Allocation
Agreement reached between the Debtors, the Committee and the
Senior Lenders which is referenced above and which was approved
by the Court.
Since the closing of the Debtors asset sale to LabCorp, the
Debtors have distributed the sale proceeds in accordance with the
terms of the sale order and the Asset Allocation Agreement, and
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the Debtors are continuing to operate in accordance with the
terms of the Transition Agreement with LabCorp. The Debtors have
been continuing with the wind down and liquidation of the
Debtors' remaining assets, including the Debtors' accounts
receivable, which were not sold to LabCorp. The Debtors'
management team has done a masterful job in these efforts as all
financial results have come in well ahead of projections, which
is going to result in a very sizeable recovery for general
unsecured creditors.
C. Significant Events Which Occurred During the Debtors
Bankruptcy Cases.
The following is a list of significant events which have
occurred during these cases:
1. Operational Issues.
i. Cash Collateral.
The Debtors and the Senior Lenders negotiated and entered
into a cash collateral stipulation prior to the Petition Date.
The Court approved the stipulation on an interim basis at the
outset of these cases and then subsequently on a final basis.
ii. Bid Procedures Motion.
As indicated above, the Court approved the Debtors
requested bid procedures at the beginning of these cases which
was intended to make sure that the LabCorp offer was the highest
and best offer possible.
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iii. Joint Administration Motion.
The Court granted the Debtors emergency motion for the
joint administration of these Chapter 11 cases.
iv. Emergency Motion to Pay the Debtors Pre-
Petition Priority Wages.
At the commencement of these cases, the Debtors filed an
emergency motion for authority to pay the Debtors pre-petition
priority wages and related benefits in the ordinary course of
business to avoid the disruption to the Debtors business from
failing to do so. The Court granted the Debtors emergency wage
motion.
v. Emergency Motion to Provide Adequate
Assurance of Payment to the Debtors
Utilities.
At the commencement of these cases, the Debtors filed an
emergency motion for an order authorizing the Debtors to provide
adequate assurance of future payment to certain utility companies
pursuant to Section 366(c) of the Bankruptcy Code. The Court
granted the Debtors emergency utilities motion.
vi. Emergency Motion to Continue to Use the
Debtors Cash Management System.
At the commencement of these cases, the Debtors filed an
emergency motion for authority to continue using the Debtors
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cash management system. The Court granted the Debtors emergency
cash management motion.
2. Administrative Matters.
The Debtors were required to address the various
administrative matters attendant to the commencement of these
bankruptcy cases, which required an extensive amount of work by
LNBYB and the Debtor employees. These matters included the
preparation of the Debtors Schedules of Assets and Liabilities
and Statements of Financial Affairs, and the preparation of the
materials required by the OUST, including, without limitation,
the 7-Day Packages for the Debtors. The Debtors have made every
effort to comply with their duties under 11 U.S.C. Sections 521,
1106 and 1107 and all applicable OUST guidelines, including the
filing of the Debtors monthly operating reports with the OUST.
The Debtors also attended their initial interview with the OUST,
and the meeting of creditors required under 11 U.S.C. 341(a),
as well as the Court ordered case status conferences. The
Debtors have also obtained and provided notice of the claims bar
date in these cases. The Debtors also prepared and filed their
various insider compensation forms and otherwise obtained Court
approval for insider compensation matters.
3. Formation of the Committee.
The OUST appointed the Committee to represent the interests
of the unsecured creditors in these cases. LNBYB has worked
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closely with counsel to the Committee in respect of all matters
in the administration of these cases, including in negotiating
and documenting the Asset Allocation Agreement with the Senior
Lenders to insure a positive result for all constituents. The
Committee employed Buchalter Nemer as bankruptcy counsel. The
Buchalter Nemer firm played an extremely constructive and
positive role throughout these cases.
4. Employment of Professionals.
The Debtors employed LNBYB as their bankruptcy counsel. The
Debtors also employed Kirkland & Ellis (K&E) as special
corporate counsel; Garvey Schubert Barer as special healthcare
counsel; MTS as their investment banker and financial advisor;
and FTI Consulting, Inc. to provide a Chief Restructuring Officer
and temporary employees and to have Matthew Pakkala of FTI serve
as the Debtors Chief Restructuring Officer. As described
immediately above, the Committee employed Buchalter Nemer as
bankruptcy counsel.
5. The Sale Process.
A detailed summary of the Debtors sale process is provided
above. As indicated above, the Debtors consummated their asset
sale to LabCorp on June 16, 2010. LNBYB worked closely with the
Debtors, K&E and MTS to effectuate the asset sale closing, and
LNBYB has continued to work closely with the Debtors and with
LabCorp in regards to numerous post-closing matters, including
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dealing with the Transition Agreement and the assumption and
assignment as well as the rejection of the Debtors numerous
unexpired leases and executory contracts. There were a number of
complicated issues that had to be resolved, both pre-petition and
post-petition, to enable the Debtors to consummate their asset
sale to LabCorp. Any one of those matters not being resolved
would likely have been fatal to the sale process, including the
need to obtain expedited Court approval of the sale, for which
the Debtors and their professionals are extremely grateful to the
Court for the accommodations made by the Court to facilitate this
process.
6. Asset Allocation Agreement.
As the Debtors and their professionals made clear from the
outset, the Debtors were only willing to proceed with
consummating their asset sale to LabCorp if the Senior Lenders
agreed to a mutually satisfactory allocation of the net sale
proceeds so that all constituents would receive a material
benefit from the sale. Given the magnitude of the secured claim
of the Senior Lenders, absent such an accommodation, the Senior
Lenders would likely have received all or nearly all of the net
sale proceeds. The Senior Lenders had indicated to the Debtors
pre-petition that they were amenable to such an arrangement but
did not want to finalize an agreement until after the bankruptcy
filings had occurred and a Committee had been formed. LNBYB
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played an instrumental role (with the valuable assistance of the
OUST) in forming a Committee on a very expedited basis and
helping the Committee to interview and engage counsel. After
extensive negotiations between the Debtors, the Committee and the
Senior Lenders, through the Asset Allocation Agreement, the
parties were able to reach an agreement on an asset allocation
which was approved by the Court.
A summary of the material terms of the Asset Allocation
Agreement is as follows:
i. The parties agreed that the Debtors would pay the
various expenses that were required to be paid pursuant to the
terms of the LabCorp APA, such as lease cures and the qui tam
settlement payment.
ii. The parties agreed that the Debtors would set aside
$1.35 million in a segregated account for payment to MTS
following Court approval of this payment to MTS. The Debtors,
the Committee and the Senior Lenders subsequently entered into a
stipulated order providing for the payment of the MTS fee which
was approved by the Court.
iii. As required by the LabCorp APA, the parties agreed that
$2 million would placed into a segregated Payroll Account (such
funds being the Holdback). The parties further agreed that at
such time as the Debtors are entitled under the Transition
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Agreement to a release of the Holdback, the Holdback will be paid
to the Senior Lenders.
iv. The parties agreed that concurrently with the sale
closing, the sum of $45 million was paid to the Senior Lenders.
v. The parties agreed that the balance of the sale
proceeds would be retained by the Debtors free and clear of the
liens and security interests of the Senior Lenders.
vi. The parties agreed that all accounts, accounts
receivable, general intangibles, and other rights to payment held
by the Debtors as of the closing of the asset sale (collectively,
the Accounts) would be collected by the Debtors in the ordinary
course and would be disbursed 25% to the Senior Lenders and 75%
retained by the Debtors (with this 25%/75% split to be computed
on the net amount of such proceeds if litigation or other third
party fees and expenses are required to be incurred by the
Debtors in connection with such collection efforts).
vii. The parties agreed that if the Debtors receive proceeds
from any litigation, other than litigation constituting avoidance
actions under the Bankruptcy Code and litigation to collect any
Accounts (General Litigation), 50% of such proceeds will be
paid to the Senior Lenders and 50% of such proceeds will be
retained by the Debtors. This 50%/50% split will be computed on
the net amount of such proceeds if litigation fees and expenses
are required to be incurred by the Debtors in connection with
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such General Litigation. For the avoidance of doubt, the parties
agreed that the Senior Lenders do have a lien in all General
Litigation and do not have a lien in any avoidance actions under
the Bankruptcy Code.
D. Date of Entry of the Order Approving LNBYB's Employment
and Date Services Commenced.
On June 24, 2010, the Court entered its order approving the
Debtors employment of LNBYB as bankruptcy counsel effective as
of the date of the Debtors Chapter 11 bankruptcy filings.
E. Fees and Expenses Previously Requested.
At a hearing held on August 25, 2010, the Court awarded
LNBYB interim fees in the amount of $496,847.63 and interim
expenses of $64,240.59 for total interim fees and expenses of
$561,088.22 incurred during the period of May 19, 2010 through
July 31, 2010. The Debtors paid this sum to LNBYB as LNBYB had
no retainer balance remaining at the time of the Debtors
bankruptcy filings.
F. Cash on Hand and Estimated Amount of Other Accrued and
Unpaid Expenses of Administration.
LNBYB understands that, as of October 31, 2010, the Debtors
had in their possession approximately $9.626 million of
unencumbered cash on hand. LNBYB and the other professionals
employed by the Debtors and Committee counsel seek to be paid
their allowed fees and expenses out of this sum.
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G. Brief Narrative Statement of Services Rendered, Time
Expended, and Fees Charged for Each Billing Category.
When recording its time, LNBYB places all time entries for
fees into one of fourteen categories. These categories consist
of (1) Asset Analysis and Recovery, (2) Asset Disposition, (3)
Business Operations, (4) Case Administration, (5) Claims
Administration and Objections, (6) Employee Benefits/Pensions,
(7) Fee/Employment Applications, (8) Fee/Employment Objections,
(9) Financing, (10) Relief from Stay, (11) Meetings of Creditors,
(12) Plan and Disclosure Statement, (20) Other Litigation and
(99) Miscellaneous. Inevitably, certain time entries do not fit
neatly into any one category while other time entries cross over
into more than one category. LNBYB does its best to place time
entries into categories which accurately reflect the work
performed. However, it is inevitable that there will be some
time entries that have been placed into the incorrect category or
where various time entries dealing with the same subject matter
have been placed into multiple categories. References below made
to the Covered Period shall mean the period of August 1, 2010
through November 30, 2010.
1. Asset Analysis and Recovery (01).
During the Covered Period, LNBYB billed 3.3 hours and
incurred $1,880.50 of fees in this category dealing with asset
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analysis and recovery issues, including accounts receivable
collection and sale issues.
2. Asset Disposition (02).
During the Covered Period, LNBYB billed 71.1 hours and
incurred $32,835.50 of fees in this category dealing with asset
disposition issues including addressing post-closing matters and
disputes with LabCorp, dealing with lease and contract
assumption, rejection and cure issues, and selling the remaining
assets of these estates, including accounts receivable. LNBYB
prepared motions and stipulations to assume and reject leases and
contracts. LNBYB appeared at Court hearings on cure disputes
held on August 25, 2010 and on October 6, 2010.
3. Business Operations (03).
During the Covered Period, LNBYB billed 30.5 hours and
incurred $15,957.50 of fees in this category related to various
business operational issues, including dealing with various lease
and insurance issues. LNBYB appeared at a hearing held on
September 15, 2010 regarding extending the time for the Debtor to
assume or reject its leases and contracts, which was done
primarily to accommodate LabCorp.
4. Case Administration (04).
During the Covered Period, LNBYB billed 52.4 hours and
incurred $16,861.25 of fees in this category dealing with a
multitude of case administration matters. LNBYB prepared the
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Debtors' status reports and assisted the Debtors with their
monthly operating reports. LNBYB prepared the Debtors' motion to
extend their real property lease rejection period.
5. Claims Administration and Objections (05).
During the Covered Period, LNBYB billed 117.7 hours and
incurred $46,929.50 of fees in this category dealing with various
claims issues, analyzing claims filed and asserted in these
cases, and advising the Debtors with respect to all of the
foregoing. LNBYB has prepared stipulations which have resolved
certain claims disputes. LNBYB has prepared and maintained a
global claims chart for these cases.
6. Employee Benefits/Pensions (06).
During the Covered Period, LNBYB did not incur any fees in
this category.
7. Fee/Employment Applications (07).
During the Covered Period, LNBYB billed 59.5 hours and
incurred $24,831.50 of fees in this category dealing with various
employment and fee issues. LNBYB prepared the Debtors'
application to modify the terms of the Debtors' employment of
K&E. LNBYB prepared its first interim fee application and
assisted other professionals employed by the Debtors to prepare
their first interim fee applications. LNBYB appeared at the
first interim fee hearing held on August 25, 2010. LNBYB
prepared the Debtors' motion to continue its retention of Matthew
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Pakkala of FTI as the Debtors Chief Restructuring Officer.
LNBYB prepared this Application and assisted other professionals
employed by the Debtors to prepare their second interim fee
applications.
8. Fee/Employment Objections (08).
During the Covered Period, LNBYB did not incur any fees in
this category.
9. Financing (09).
During the Covered Period, LNBYB billed 1.1 hours and
incurred $573.50 of fees in this category dealing with cash
collateral issues.
10. Relief from Stay (10).
During the Covered Period, LNBYB billed 3.5 hours and
incurred $1,738.50 of fees in this category dealing with various
automatic stay matters.
11. Meetings of Creditors (11).
During the Covered Period, LNBYB did not incur any fees in
this category.
12. Plan and Disclosure Statement (12).
During the Covered Period, LNBYB billed 8.9 hours and
incurred $3,210.50 of fees in this category dealing with plan
issues. LNBYB prepared the Debtors' motion to extend their plan
exclusivity periods.
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20. Other Litigation (20).
During the Covered Period, LNBYB billed 14 hours and
incurred $6,200 of fees in this category dealing with various
litigation matters, including drafting settlement agreements and
related 9019 settlement motions.
99. Miscellaneous (99).
During the Covered Period, LNBYB billed 6.2 hours and
incurred $3,276 of fees in this category dealing with various
miscellaneous matters throughout these cases.
H. Detailed Listing of All Time Spent by the Professional
on the Matter for Which Compensation is Sought.
Attached hereto as Exhibit A is a detailed listing of all
time that LNBYB spent during the Covered Period for which LNBYB
seeks compensation including the date LNBYB rendered the service,
a description of the service, the amount of time spent and a
designation of the person who rendered the service for the period
of time for the Covered Period. Also included in Exhibit A is
a summary of the hours and fees charged by each of LNBYBs
attorneys that performed services for the Debtors. Also included
in Exhibit A is a breakdown of time entries into the activity
codes maintained by LNBYB.
I. Detailed Listing of Expenses by Category
Attached hereto as Exhibit B is a summary listing by
category and an itemization of all expenses that LNBYB advanced
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on behalf of the Debtors during these cases. These include
LNBYBs expenses incurred in photocopying, making long distance
telephone calls, telecopying, mailing, and hiring messenger
services. LNBYB generally handles regular and routine
photocopying in-house for which LNBYB charges clients twenty
cents per page. While LNBYB believes that this is less than
LNBYBs actual expenses incurred with regard to the photocopying
machines, supplies and labor associated with providing
photocopying services, this charge reflects the photocopying
charge recommended by the OUST in the Central District of
California. LNBYBs photocopy machines automatically record the
number of copies made when the person that is photocopying enters
the clients account number into a device attached to the
photocopy machine. Whenever feasible, LNBYB sends large copying
projects to outside copy services that charge bulk rates for
photocopying. In such instances, LNBYB charges clients the same
amount that LNBYB pays the outside service.
LNBYB charges clients $1.00 per page for sending telecopies
and $.20 per page for receiving telecopies which LNBYB believes
is less than LNBYBs actual expenses incurred with regard to
telecopying but again is a decision by LNBYB to comply with the
standards set forth by the OUST in the Central District of
California. All expenses that LNBYB advanced on behalf of the
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Debtors were necessarily incurred and are properly charged as
administrative expenses of the Debtors Chapter 11 estates.
When LNBYB uses Lexis and Westlaw, the user inputs the
client account number or case name for the research to be
performed. Each month, LNBYB receives a Lexis and Westlaw
invoice which reflects both an aggregate total of charges
incurred by LNBYB for the month, as well as a break out of the
specific charges incurred on behalf of each client (identified by
name or client account number). The amount(s) reflected on the
monthly invoice is then entered by LNBYB staff to the appropriate
client account number as identified on the invoice. There is no
profit or other additional charge added to the amount reflected
in the Lexis and Westlaw invoice.
J. Description of Professional Education and Experience
LNBYB is currently comprised of twenty-three lawyers. LNBYB
is comprised of attorneys who specialize in and limit their
practice to matters of insolvency, reorganization and bankruptcy
law, and commercial litigation matters, and is well qualified to
represent the Debtors. All attorneys comprising or associated
with LNBYB are admitted to practice law in the California courts
and in the United States District Court for the Central District
of California. Attached hereto as Exhibit C is a copy of
LNBYBs firm resume. Attached hereto as Exhibit D is a listing
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of the current hourly billing rates for each of LNBYBs
attorneys.
IV.
STANDARD OF LAW
Prior to the enactment of the Bankruptcy Code, the rule with
respect to compensation requests in the Ninth Circuit was that
the Court should award attorneys fees in accordance with a
strict rule of economy test. In re THC Financial Corp., 659
F.2d 951, 955 n.2 (9th Cir. 1981), cert. denied, 456 U.S. 977
(1982). This is no longer the law. The legislative history to
Section 330 of the Bankruptcy Code indicates that Congress was
primarily concerned with protecting the public interest in the
smooth, efficient operation of the bankruptcy system by
encouraging competent bankruptcy specialists to remain in the
field. First National Bank of Chicago v. Committee of Creditors
Holding Unsecured Claims (In re Powerline Oil Co.), 71 B.R. 767,
770 (Bankr. 9th Cir. 1986); In re Baldwin-United Corp., 79 B.R.
321, 346 (Bankr. S.D. Ohio 1987). Toward this end, Congress
specifically disavowed notions of economy of administration, and
provided that compensation in bankruptcy case should be
comparable to what is charged in nonbankruptcy matters. Id. at
346.
Under the lodestar approach, the Court is to determine the
number of hours reasonably expended in an attorneys
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representation of a debtor and multiply such number by a
reasonable hourly rate for the services performed. See Delaware
Valley Citizens Council for Clear Air, 478 U.S. at 565; In re
Powerline Oil Co., 71 B.R. 770. A reasonable hourly rate is
presumptively the rate the marketplace pays for the services
rendered. Missouri v. Jenkins by Agyei, 491 U.S. 274, 109 S.Ct.
2463, 2469 (1989); Burgess v. Klenske (In re Manoa Finance Co.,
Inc.) 853 F.2d 687, 691 (9th Cir. 1988). Recognizing that the
determination of an appropriate market rate for the services of
a lawyer is inherently difficult, the Supreme Court stated:
Market prices of commodities and most services are
determined by supply and demand. In this traditional sense there
is no such thing as a prevailing market rate for the service of
lawyers in a particular community. The type of services rendered
by lawyers, as well as their experience, skill, and reputation,
varies extensively -- even within a law firm. Accordingly, the
hourly rates of lawyers in private practice also vary widely.
The fees charged often are based on the product of hours devoted
to the representation multiplied by the lawyers customary rate.
Blum v. Stenson, 465 U.S. 886, 895 n.11 (1984). The Supreme
Court has stated that a reasonable attorneys fee means a fee
that would have been deemed reasonable if billed to affluent
plaintiffs by their own attorneys. Missouri v. Jenkins by
Agyei, 109 S.Ct. at 2470 (quoting City of Riverside v. Rivera,
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477 U.S. 561, 591 (1986) (Rehnquist, J. dissenting)).
Accordingly, a reasonable hourly rate is the hourly amount to
which attorneys in the area with comparable skill, experience and
reputation typically would be entitled as compensation. Blum v.
Stenson, 465 U.S. at 895 n.11.
LNBYB respectfully submits that the hourly rates for its
attorneys and paraprofessionals are reasonable and appropriate in
the relevant community and in view of the circumstances of these
cases, the demands that these cases placed on LNBYB, and the
extraordinarily successful results achieved by LNBYB. At the
time of the filing of these Chapter 11 cases, the Debtors were
rapidly running out of cash and had no available source of
obtaining additional funds.
It was therefore clear that unless the Debtors were able to
consummate a very expedited sale of their business, the Debtors
would have been forced to shut down and liquidate, which would
have meant the loss of jobs of all of the Debtors nearly 1,000
employees and resulted in no recovery for unsecured creditors and
a diminutive recovery for the Senior Lenders as the liquidation
value of the Debtors assets had very little value. The only
meaningful value to the Debtors assets was if they could be
maintained and sold as a going concern, which necessarily
required the Debtors to continue operating pending the closing of
the asset sale.
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The significant challenge facing the Debtors was to obtain
expedited Court approval of the Debtors asset sale to LabCorp
and the Debtors pre-petition settlement with the qui tam
claimants, and to keep the Debtors business together with no
significant reduction in the volume pending the closing. This
was incredibly important given that LabCorp had the right to
reduce its purchase price and even walk away from the deal
entirely if the Debtors suffered a substantial reduction in the
their volume prior to the closing, which was always a very real
possibility.
While this was all complicated and delicate enough as it
was, the situation was made significantly more complicated by the
intervention of the FTC at the last minute, which nearly caused
the liquidation of the Debtors. Fortunately, LabCorp changed its
mind and ultimately decided to close its purchase notwithstanding
the pending inquiry being made by the FTC.
The final critical component to a successful sale process
was for the Debtors and the Committee to reach an agreement with
the Senior Lenders on a mutually acceptable allocation of the
LabCorp sale proceeds so that all creditors stood to receive a
substantial benefit from the Debtors asset sale to LabCorp.
This was not an easy proposition given that the Senior Lenders
were comprised of a number of participants and it is never easy
to persuade a secured creditor to agree to be paid less than what
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it is owed so that unsecured creditors who are junior in priority
can receive a benefit. LNBYB and its professionals and
representatives, working together with counsel to the Committee,
successfully negotiated the Asset Allocation Agreement with the
Senior Lenders which is very favorable for the Debtors estates
and their unsecured creditors as it will result in many millions
of dollars being made available for creditors other than the
Senior Lenders. This is a remarkable result given that the value
of the Debtors' assets was less than the Senior Lenders were
owed.
In summary, LNBYB submits that these have been
extraordinarily successful bankruptcy cases when a liquidation of
the Debtors with a disastrous outcome was always a very real
possibility. LNBYB respectfully submits that it, working in
close conjunction with the K&E lawyers and Mr. Pakkala (both of
whom were invaluable to this process and deserve a substantial
amount of credit for the success of these cases), played an
integral role in the successful results achieved in these cases,
and LNBYB assumed a substantial amount of risk by agreeing to
file these Chapter 11 cases and to serve as counsel to the
Debtors with no pre-petition retainer balance remaining on the
Petition Date. LNBYB therefore believes that it should be paid
the full amount of fees and expenses incurred in its
representation of the Debtors.
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V.
CONCLUSION
WHEREFORE, LNBYB respectfully requests that this Court enter
an order:
(1) approving LNBYB's fees in the amount of $154,333.25 and
expenses in the amount of $13,461.74 for total fees and expenses
in the amount of $167,794.99 incurred during the Covered Period;
(2) authorizing LNBYB to be paid the sum of $167,794.99 by
the Debtors; and
(3) granting such other and further relief as the Court
deems just and proper.
Dated: December 1, 2010 LEVENE, NEALE, BENDER, YOO
& BRILL L.L.P.
By: /s/ Ron Bender
RON BENDER
LEVENE, NEALE, BENDER, YOO &
BRILL L.L.P.
Attorneys for Chapter 11
Debtors and Debtors in
Possession
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DECLARATION OF RON BENDER, ESQ.
I, Ron Bender, Esq., hereby declare as follows:
1. I am a founding and co-managing partner of Levene,
Neale, Bender, Yoo & Brill L.L.P. ("LNBYB"), which is serving as
bankruptcy counsel to Westcliff Medical Laboratories, Inc.
(Westcliff) and BioLabs, Inc. (BioLabs), the Chapter 11
debtors and debtors in possession herein (collectively, the
Debtors).
2. I have personal knowledge of the facts set forth below
and, if called to testify, I could and would testify competently
thereto.
3. I am the attorney at LNBYB primarily responsible for
the representation of the Debtors as bankruptcy counsel during
the Debtors Chapter 11 cases. I have represented more than 200
Chapter 11 debtors throughout my legal career. I have confirmed
countless Chapter 11 plans of reorganization and closed the sales
of numerous companies.
4. I have drafted the Second Interim Application Of
Levene, Neale, Bender, Yoo & Brill L.L.P. For Approval Of Fees
And Reimbursement Of Expenses (the Application) to which this
Declaration is attached. To the best of my knowledge,
information and belief, all of the matters stated in the
Application are true and correct.
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5. The amounts requested in the Application for
compensation of fees and reimbursement of expenses incurred are
based on LNBYBs business records kept in the ordinary course of
LNBYB's business.
6. All expenses for outside services such as photocopying
services, messenger and express mail services, postage and
research services (Lexis and Westlaw) for which LNBYB requests
reimbursement are the actual expenses incurred by LNBYB for such
services, and LNBYB does not seek any additional amounts or
profits with respect thereto.
7. I have reviewed the requirements of Local Bankruptcy
Rule 2016-1, and I believe that the Application complies with
this Rule.
I declare and verify under penalty of perjury that the
foregoing is true and correct.
Executed this 1st day of December, 2010, at Century City,
California.
/s/ Ron Bender
RON BENDER, ESQ.
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EXHIBIT A
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BIOLABS, INC./WESTCLIFF MEDICAL
OUR FILE #: 4367
PROFESSIONAL SERVICE RENDERED THROUGH 8/1/2010 11/30/2010
12/1/2010
RB
BIOLABS, INC./WESTCLIFF MEDICAL
MR. MATTHEW PAKKALA
1821 EAST DYER ROAD, SUITE 100
SANTA ANA, CA 92705
FEE APPLICATION
368.4
$154,333.25
TOTAL PROFESSIONAL HOURS FEES
COSTS
CONFERENCE CALL CHARGES 1,412.19
REPRODUCTION COSTS 4,584.60
ENTERTAINMENT 111.25
TELECOPIER - INCOMING 1.20
TELECOPIER - OUTGOING 8.00
FEDERAL EXPRESS 536.26
MESSENGER SERVICE 212.17
OVERNITE EXPRESS 238.63
COURT RESEARCH PACER 19.92
PARKING 22.00
POSTAGE 538.10
ATTORNEY SERVICE COSTS 1,535.16
TELEPHONIC COURT APPEARANCE 109.00
WESTLAW RESEARCH 1,837.47
$11,165.95 TOTAL COSTS
CURRENT PERIOD TOTAL PROFESSIONAL FEES AND COSTS $165,499.20
Case 8:10-bk-16743-TA Doc 307 Filed 12/01/10 Entered 12/01/10 16:03:51 Desc
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
12/1/2010 1
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
ASSET ANALYSIS AND RECOVERY 01 -
8/2/2010
ANALYSIS OF EMAILS RE A/R COLLECTION ISSUES AND CASE STATUS
1246546 RB 585.00 $58.50
0.1
8/2/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE A/R RECOVERY AND STATUS OF PAYMENTS
1239432 TMA 485.00 $48.50 0.1
8/3/2010
ANALYSIS OF LW ACQUISITION ISSUES
1246609 RB 585.00 $58.50 0.1
8/3/2010
ANALYSIS OF CASH UPDATE AND WIND DOWN ANALYSIS AND RELATED EMAIL
1246613 RB 585.00 $117.00
0.2
8/19/2010
EMAIL EXCHANGE WITH CLIENT RE OCC COUNSEL'S FEE APPLICATION
1245480 TMA 485.00 $48.50 0.1
9/3/2010
ANALYSIS OF WIND DOWN CASH UPDATE AND PAKKALA MEMO RE SAME
1255244 RB 585.00 $234.00 0.4
9/14/2010
TELEPHONE CONFERENCE WITH LAURA CONTRERAS AND OTHERS RE: ISSUES WITH MELLON
BANK
1261314 JLR 485.00 $97.00
0.2
9/14/2010
ANALYSIS OF MULTIPLE EMAILS RE: POSSIBLE SALE OF A/R
1257831 RB 585.00 $117.00 0.2
9/15/2010
PREPARATION OF EMAIL EXCHANGE RE: SALE OF A/R; CONFERENCE RE: SAME
1257845 RB 585.00 $175.50 0.3
9/15/2010
ANALYSIS OF EMAILS RE: RETURN OF PAYROLL FUNDS TO GE
1257882 RB 585.00 $58.50
0.1
9/16/2010
PREPARATION OF EMAIL EXCHANGE RE: SALE OF PATIENT A/R
1257996 RB 585.00 $58.50 0.1
Case 8:10-bk-16743-TA Doc 307 Filed 12/01/10 Entered 12/01/10 16:03:51 Desc
Main Document Page 41 of 230
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
12/1/2010 2
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/18/2010
ANALYSIS OF VICTOR VALLEY BK PETITION; PREPARATION OF EMAIL EXCHANGE WITH CLIENT
RE: DEBT OWED TO DEBTOR
1258250 RB 585.00 $175.50 0.3
10/5/2010
ANALYSIS OF PAKKALA WIND DOWN SUMMARY AND FINANCIALS
1267604 RB 585.00 $175.50
0.3
10/11/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE LANCASTER LEASE ISSUES AND RESPOND
1265048 TMA 485.00 $48.50 0.1
10/19/2010
ANALYSIS OF EMAILS RE: SALE OF PATIENT A/R
1271381 RB 585.00 $58.50 0.1
10/27/2010
ANALYSIS OF EMAILS RE: DEPOSITS OF ESTATE FUNDS
1272332 RB 585.00 $58.50
0.1
11/5/2010
ANALYSIS OF PAKKALA MEMO RE: STATUS OF WIND DOWN AND STATUS OF CASH, A/R
COLLECTION AND LITIGATION
1277927 RB 585.00 $175.50 0.3
11/22/2010
ANALYSIS OF A/R SALE ISSUES
1281218 RB 585.00 $117.00 0.2
3.3
Total $1,880.50
ASSET DISPOSITION 02 -
8/2/2010
ANALYSIS OF EMAILS RE LC ACKNOWLEDGMENT ISSUES AND UPDATED DISCLOSURE SCHEDULE
1246554 RB 585.00 $117.00 0.2
8/2/2010
PREPARATION OF CORRESPONDENCE TO BUYER COUNSEL RE AMENDMENT TO CLOSING
SCHEDULES
1239454 TMA 485.00 $97.00
0.2
8/3/2010
EMAIL EXCHANGE WITH CLIENT RE FIRST REJECTION MOTION AND TREATMENT OF SPECIALTY
CONTRACT
1239630 TMA 485.00 $97.00 0.2
8/3/2010
PREPARATION OF NOTICE OF PARTIAL WITHDRAWAL OF FIRST REJECTION MOTION
1239631 TMA 485.00 $242.50 0.5
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
12/1/2010 3
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/3/2010
PREPARATION OF DECLARATION OF NON OPPOSITION AND ORDER ON FIRST REJECTION MOTION
1239632 TMA 485.00 $388.00 0.8
8/4/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE CURE ISSUES AND RESPOND
1240331 TMA 485.00 $48.50
0.1
8/4/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT AND OCC RE STATUS OF LEASES UNDER SALE
AND REPSOND
1240340 TMA 485.00 $48.50 0.1
8/4/2010
PREPARATION OF UPDATED LEASE DESIGNATION FOR OCC
1240341 TMA 485.00 $48.50 0.1
8/4/2010
TELEPHONE CONFERENCE WITH LAURA CONTRERAS RE CURE AND TRANSITIONAL ISSUES
1240503 TMA 485.00 $145.50
0.3
8/5/2010
TELEPHONE CONF. W/ OPP COUNSEL FOR LANDLORD OF 24022 CALLE DE LA PLATA RE STATUS
OF LEASE
1240992 TMA 485.00 $48.50 0.1
8/5/2010
PREPARATION OF CORRESPONDENCE TO LUBIC RE ADEQUATE ASSURANCE FOR MISSION
LANDLORD
1241219 TMA 485.00 $97.00 0.2
8/5/2010
TELEPHONE CONFERENCE WITH MISSION LANDLORD RE ADEQUATE ASSURANCE
1241220 TMA 485.00 $48.50
0.1
8/6/2010
ANALYSIS OF FTC DECISION IN COMPARABLE CASE RE: FIX FOR ANTI-COMPETITION CONCERN
1241537 JPF 335.00 $67.00 0.2
8/9/2010
ANALYSIS OF CORRESPONDENCE FROM PAYOR RE ASSIGNMENT OF CONTRACT
1242269 TMA 485.00 $48.50 0.1
8/10/2010
PREPARATION OF CORRESPONDENCE TO LUBIC RE MISSION CURE AMOUNTS AND AMENDMENT
TO CLOSING SCHEDULES
1242298 TMA 485.00 $48.50
0.1
8/10/2010
ANALYSIS OF BECHMAN OBJECTION TO SALE AND CURE AMOUNT AND EMAIL OPP COUNSEL RE
SAME
1242315 TMA 485.00 $97.00 0.2
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
12/1/2010 4
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/10/2010
ANALYSIS OF CORRESPONDENCE FROM L. CONTRERAS RE OPEN SALE ISSUES AND RESPOND
1242316 TMA 485.00 $97.00 0.2
8/10/2010
PREPARATION OF STIPULATION AND ORDER RESOLVING GRIFOLS CURE CLAIMS
1242375 TMA 485.00 $291.00
0.6
8/10/2010
PREPARATION OF CORRESPONDENCE TO GRIFOLS COUNSEL RE STIPULATION AND ORDER
RESOLVING GRIFOLS CURE CLAIMS
1242376 TMA 485.00 $48.50 0.1
8/10/2010
ANALYSIS OF CORRESPONDENCE FROM LUBIC RE AGREEMENT RE AMENDMENT OF SCHEDULES
1242588 TMA 485.00 $48.50 0.1
8/12/2010
DEBTOR'S NOTICE OF SECOND OMNIBUS MOTION AND SECOND OMNIBUS MOTION TO REJECT
UNEXPIRED LEASES
1250214 JLR 485.00 $48.50
0.1
8/12/2010
ANALYSIS OF STIPULATION BY WESTCLIFF MEDICAL LABORATORIES, INC. AND GRIFOLS USA,
LLC RESOLVING GRIFOLS USA, LLC'S LIMITED OBJECTION TO THE SALE MOTION
1250217 JLR 485.00 $48.50 0.1
8/12/2010
TELEPHONE CONFERENCE WITH LAURA CONTRERAS RE RECONCILIATION OF CURE AMOUNTS
1243074 TMA 485.00 $97.00 0.2
8/12/2010
PREPARATION OF SECOND OMNIBUS MOTION TO REJECT LEASES
1243114 TMA 485.00 $727.50
1.5
8/12/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE SECOND OMNIBUS MOTION TO REJECT
LEASES
1243115 TMA 485.00 $48.50 0.1
8/12/2010
TELEPHONE CONFERENCE WITH GRIFOLS COUNSEL RE STIPULATION RESOLVING CURE AMOUNT
1243116 TMA 485.00 $97.00 0.2
8/12/2010
ANALYSIS OF PENDING CURE, ASSUMPTION, REJECTION ISSUES
1243118 TMA 485.00 $97.00
0.2
8/12/2010
EMAIL EXCHANGE WITH CLIENT RE SECOND OMNIBUS MOTION TO REJECT
1243147 TMA 485.00 $97.00 0.2
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
12/1/2010 5
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/13/2010
ANALYSIS OF FINAL CLOSING SCHEDULES AND RELATED DOCUMENTS AND EXHIBITS AND
EMAILS FROM LC
1247123 RB 585.00 $234.00 0.4
8/13/2010
ANALYSIS OF CORRESPONDENCE FROM LUBIC RE MISSION ADEQUATE ASSURANCE ISSUES AND
RESPOND
1243337 TMA 485.00 $48.50
0.1
8/15/2010
ANALYSIS OF ENTERED ORDER RE DEBTORS' FIRST OMNIBUS MOTION TO REJECT EXECUTORY
CONTRACTS AND UNEXPIRED LEASES
1250270 JLR 485.00 $48.50 0.1
8/17/2010
ANALYSIS OF EMAILS RE LC CLOSING DOCUMENTS
1247218 RB 585.00 $58.50 0.1
8/17/2010
TELEPHONE CONFERENCE WITH ROCHE RE CURE AMOUNT AND REPLY TO OBJECTION RE SAME
1244917 TMA 485.00 $194.00
0.4
8/17/2010
TELEPHONE CONFERENCE WITH LUBIC MISSION CURE ISSUES AND REPLY TO OBJECTION RE
SAME
1244918 TMA 485.00 $194.00 0.4
8/17/2010
ANALYSIS OF LUBIC INSERT TO REPLY TO OBJECTIONS RE CURE AMOUNT RE MISSION
1244919 TMA 485.00 $97.00 0.2
8/17/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE OMNIBUS REPLY TO OBJECTIONS RE CURE
AMOUNTS
1244920 TMA 485.00 $97.00
0.2
8/17/2010
ANALYSIS OF OBJECTIONS RE CURE AMOUNTS AND ADEQUATE PROTECTION
1244921 TMA 485.00 $194.00 0.4
8/17/2010
PREPARATION OF OMNIBUS REPLY TO OBJECTIONS RE CURE AMOUNTS AND ADEQUATE
PROTECTION OMNIBUS REPLY TO OBJECTIONS RE CURE AMOUNTS AND ADEQUATE
1244922 TMA 485.00 $1,891.50 3.9
8/17/2010
PREPARATION OF DECLARATIONS ON
1244923 TMA 485.00 $194.00
0.4
8/17/2010
TELEPHONE CONFERENCE W/ CLIENT RE CURE AMOUNT RECONCILIATIONS
1244924 TMA 485.00 $97.00 0.2
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/18/2010
ANALYSIS OF REPLY TO ROCHE DIAGNOSTICS CORPORATION AND MISSION HOSPITAL REGIONAL
MEDICAL CENTER'S OBJECTIONS TO SALE MOTION
1250324 JLR 485.00 $48.50 0.1
8/18/2010
TELEPHONE CONFERENCE WITH ATLAS RE STATUS OF CONTRACTS AND CASE
1245323 TMA 485.00 $97.00
0.2
8/19/2010
ANALYSIS OF JOINDER TO DEBTORS' OMNIBUS REPLY TO OBJECTIONS TO SALE MOTION
1250424 JLR 485.00 $48.50 0.1
8/19/2010
ANALYSIS OF OCC JOINDER IN OMNIBUS REPLY RE CURE OBJECTIONS
1245712 TMA 485.00 $48.50 0.1
8/23/2010
ANALYSIS OF ENTERED ORDER GRANTING SECOND STIPULATION CONTINUING HEARING ON
ISSUES RELATING TO CURE, ASSUMPTION, AND ASSIGNMENT OF EXECUTORY CONTRACTS AND
UNEXPIRED LEASES FOR PARTIES THAT FILED OBJECTING TO DEBTORS' SALE MOTION
1250569 JLR 485.00 $48.50
0.1
8/24/2010
ANALYSIS OF ENTERED ORDER GRANTING STIPULATION RESOLVING GRIFOLS USA, LLC'S
LIMITED OBJECTION TO DEBTORS' MOTION FOR AN ORDER: 1) APPROVING SALE
1250598 JLR 485.00 $48.50 0.1
8/24/2010
ANALYSIS OF SURREPLY OF BECKMAN COULTER TO DEBTOR'S OMNIBUS REPLY TO OBJECTIONS
TO SALE MOTION
1250601 JLR 485.00 $48.50 0.1
8/24/2010
PREPARATION FOR HEARING ON CURE, ASSUMPTION, AND ASSIGNMENT OF CONTRACTS AND
LEASES
1246989 JPF 335.00 $67.00
0.2
8/24/2010
PREPARATION OF PLEADING ON OBJECTIONS TO CURE AMOUNTS, ASSUMPTION, AND
ASSIGNMENT ON SALE
1247388 JPF 335.00 $268.00 0.8
8/24/2010
ANALYSIS OF CORRESPONDENCE FROM IRVINE CO. RE STATUS OF LEASE AND RESPOND
1246768 TMA 485.00 $48.50 0.1
8/24/2010
PREPARATION OF CORRESPONDENCE TO LUBIC RE SETTLEMENT WITH MISSION RE ADEQUATE
ASSURANCE ISSUES
1246769 TMA 485.00 $48.50
0.1
8/24/2010
ANALYSIS OF TENTATIVE RULING RE REPLY TO OBJECTIONS RE CURE AMOUNTS AND
ADEQUATE ASSURANCE
1247308 TMA 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/24/2010
ANALYSIS OF BECKMAN SUR-REPLY TO REPLY RE CURE AMOUNT ISSUES
1247314 TMA 485.00 $97.00 0.2
8/25/2010
PREPARATION FOR HEARING ON CURE, ASSUMPTION, AND ASSIGNMENT
1247631 JPF 335.00 $268.00
0.8
8/25/2010
APPEARANCE AT HEARING ON CURE, ASSUMPTION, AND ASSIGNMENT FOR BECKMAN AND
MISSION LEASES
1247635 JPF 335.00 $1,574.50 4.7
8/25/2010
ANALYSIS OF CORRESPONDENCE FROM OPPOSING COUNSEL AT BECKMAN RE: RESOLVING CURE
AMOUNTS BEFORE NEXT HEARING
1247683 JPF 335.00 $33.50 0.1
8/25/2010
ANALYSIS OF MULTIPLE EMAILS RE LC LEASE AND CURE ISSUES AND DISPUTES
1250425 RB 585.00 $117.00
0.2
8/26/2010
PREPARATION OF NOTICE OF CONTINUED HEARING ON MULTIPLE OBJECTIONS TO ASSUMPTION
AND ASSIGNMENT
1248036 JPF 335.00 $234.50 0.7
8/26/2010
ANALYSIS OF REVISED FINAL CLOSING SCHEDULES WITH LC AND RELATED EMAIL EXCHANGE
1250456 RB 585.00 $234.00 0.4
8/26/2010
ANALYSIS OF ORDER ON FIRST OMNIBUS MOTION TO REJECT LEASES AND CONTRACTS AND LOG
1247922 TMA 485.00 $97.00
0.2
8/26/2010
ANALYSIS OF CORRESPONDENCE FROM MICHAEL LUBIC RE CLOSING ISSUES
1248067 TMA 485.00 $48.50 0.1
8/26/2010
ANALYSIS OF ORDER RESOLVING GRIFOLS OBJECTION RE CURE CLAIM
1248078 TMA 485.00 $48.50 0.1
8/26/2010
ANALYSIS OF CLOSING DOCUMENTS FROM PURCHASER
1248195 TMA 485.00 $145.50
0.3
8/26/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE CLOSING DOCUMENTS FROM PURCHASER
1248196 TMA 485.00 $48.50 0.1
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Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/26/2010
EMAILS WITH LUBIC RE PAYOR CONTRACT ISSUES
1248273 TMA 485.00 $48.50 0.1
8/26/2010
EMAILS WITH CORPORATE COUNSEL RE CLOSING ISSUES
1248274 TMA 485.00 $48.50
0.1
8/30/2010
TELEPHONE CONFERENCE WITH CLIENT, SPECIAL CORPORATE COUNSEL, AND LABWEST
COUNSEL RE CLOSING ISSUES
1248964 TMA 485.00 $533.50 1.1
8/30/2010
TELEPHONE CONFERENCE WITH HEALTH NET RE ASSUMPTION AND ASSIGNMENT OF CONTRACT
1248965 TMA 485.00 $97.00 0.2
8/31/2010
EMAILS WITH COUNSEL FOR PHALIB, INC. RE: SALE STATUS ISSUES
1250678 JLR 485.00 $48.50
0.1
8/31/2010
ANALYSIS OF CORRESPONDENCE FROM ALLEGED CREDITOR'S ATTORNEY IN MISSOURI
REGARDING STATUS OF SALE MOTION AND ORDER
1249859 JPF 335.00 $33.50 0.1
8/31/2010
PREPARATION OF CORRESPONDENCE TO ALLEGED CREDITOR'S ATTORNEY IN MISSOURI
REGARDING STATUS OF SALE MOTION AND ORDER
1249860 JPF 335.00 $33.50 0.1
9/1/2010
ANALYSIS OF CORRESPONDENCE EMAIL FROM PHADIA, INC. RE: SALE ISSUE
1251668 JLR 485.00 $48.50
0.1
9/1/2010
ANALYSIS OF CORRESPONDENCE TO PHADIA, INC. RE: SALE ISSUE
1251669 JLR 485.00 $48.50 0.1
9/1/2010
PREPARATION OF ORDER CONTINUING HEARING ON CURE AMOUNTS AND RELATED ISSUES
1250043 TMA 485.00 $145.50 0.3
9/1/2010
PREPARATION OF CORRESPONDENCE TO OPPOSING COUNSEL RE ORDER CONTINUING HEARING
ON CURE AMOUNTS AND RELATED ISSUES
1250044 TMA 485.00 $48.50
0.1
9/1/2010
ANALYSIS OF CORRESPONDENCE FROM BECKMAN RE CURE ISSUES AND RESPOND
1250079 TMA 485.00 $97.00 0.2
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Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/7/2010
ANALYSIS OF CORRESPONDENCE FROM BUYER RE THIRD DESIGNATION OF REAL PROPERTY
LEASES
1252207 TMA 485.00 $48.50 0.1
9/7/2010
PREPARATION OF NOTICE OF REJECTION TO THREE LANDLORDS
1252208 TMA 485.00 $194.00
0.4
9/7/2010
ANALYSIS OF CORRESPONDENCE AND REPORT FROM FTI RE POST-CLOSING COLLECTIONS
1252301 TMA 485.00 $97.00 0.2
9/7/2010
ANALYSIS OF BECKMAN COULTER SUR-REPLY RE CURE AMOUNTS AND DOCUMENTATION RE
SAME
1252392 TMA 485.00 $533.50 1.1
9/7/2010
ANALYSIS OF BECKMAN COULTER DISCOVERY REQUESTS
1252499 TMA 485.00 $145.50
0.3
9/7/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE BECKMAN COULTER CURE AMOUNT ISSUES
1252500 TMA 485.00 $48.50 0.1
9/7/2010
TELEPHONE CONFERENCE W/ CLIENT CLIENT RE BECKMAN CURE AMOUNT ISSUES
1252520 TMA 485.00 $194.00 0.4
9/9/2010
TELEPHONE CONFERENCE WITH LABWEST COUNSEL RE MOTION TO EXTEND TIME TO ASSUME
OR REJECT REAL PROPERTY LEASES
1253066 TMA 485.00 $145.50
0.3
9/9/2010
ANALYSIS OF CORRESPONDENCE FROM LABWEST COUNSEL RE FINAL CLOSING SCHEDULES
1253313 TMA 485.00 $97.00 0.2
9/10/2010
ANALYSIS OF NOTICE OF MOTION AND MOTION TO EXTEND TIME TO ASSUME OR REJECT
NONRESIDENTIAL REAL PROPERTY LEASES PURSUANT TO 11 U.S.C. 365(D)(4)
1261234 JLR 485.00 $48.50 0.1
9/10/2010
ANALYSIS OF APPLICATION FOR ORDER SETTING HEARING ON SHORTENED NOTICE
1261237 JLR 485.00 $48.50
0.1
9/10/2010
ANALYSIS OF MULTIPLE LC CLOSING DOCUMENTS AND RELATED EMAILS
1257707 RB 585.00 $175.50 0.3
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Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/10/2010
ANALYSIS OF ACKNOWLEDGMENT OF REVISED CLOSING SCHEDULES AND REVISED CLOSING
SCHEDULES
1253592 TMA 485.00 $242.50 0.5
9/13/2010
ANALYSIS OF ORDER GRANTING APPLICATION SHORTENING TIME FOR SETTING HEARING ON
MOTION TO EXTENT TIME TO ASSUME OR REJECT NONRESIDENTIAL REAL PROPERTY LEASE
1261296 JLR 485.00 $48.50
0.1
9/13/2010
ANALYSIS OF EMAILS AND DOCUMENTS RE: TRANSFER TO LC OF IEHP
1257765 RB 585.00 $117.00 0.2
9/14/2010
ANALYSIS OF NOTICE OF HEARING ON MOTION TO EXTEND TIME TO ASSUME OR REJECT LEASES
1261324 JLR 485.00 $48.50 0.1
9/14/2010
ANALYSIS OF IEHP ASSIGNMENT TO LC ISSUES AND RELATED EMAILS
1257803 RB 585.00 $58.50
0.1
9/14/2010
ANALYSIS OF MISSION HOSPITAL LEASE ASSIGNMENT TO LC AND RELATED EMAILS AND
ADEQUATE ASSURANCE ISSUES
1257837 RB 585.00 $58.50 0.1
9/14/2010
ANALYSIS OF ASSIGNMENT OF IEHP CONTRACT AND CORRESPONDENCE FROM CLIENT RE SAME
AND RESPOND
1254261 TMA 485.00 $97.00 0.2
9/14/2010
ANALYSIS OF CORRESPONDENCE RE PROPOSED ACCOUNTS RECEIVABLE SALE AND RESPOND
1254703 TMA 485.00 $145.50
0.3
9/14/2010
ANALYSIS OF CORRESPONDENCE FROM BUYER RE STATUS OF ADEQUATE PROTECTION ISSUES
WITH MISSION HOSPITAL
1254708 TMA 485.00 $48.50 0.1
9/15/2010
ANALYSIS OF DOCUMENTS AND REVIEW DOCUMENTS REGARDING ASSET DISPOSITION
1255969 GDL 335.00 $201.00 0.6
9/15/2010
PREPARATION OF SALE NOTICE
1255974 GDL 335.00 $134.00
0.4
9/15/2010
ANALYSIS OF CORRESPONDENCE FROM MICHAEL LUBIC RE: SALE ISSUES
1258204 JLR 485.00 $48.50 0.1
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
12/1/2010 11
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/15/2010
ANALYSIS OF UPDATED LC DISCLOSURE SCHEDULES AND RELATED EMAILS
1257873 RB 585.00 $175.50 0.3
9/15/2010
ANALYSIS OF LC LEASE CORRESPONDENCES AND RELATED EMAILS
1257896 RB 585.00 $117.00
0.2
9/15/2010
EMAIL EXCHANGE WITH CLIENT RE SALE OF A/R
1254709 TMA 485.00 $97.00 0.2
9/15/2010
RESEARCH REGARDING PROCEDURE FOR SALE OF A/R BY NOTICE OF INTENT PROCEDURE
1254737 TMA 485.00 $194.00 0.4
9/15/2010
ANALYSIS OF SALE/PLAN TERM SHEET AND CORRESPONDENCE RE SAME
1254738 TMA 485.00 $145.50
0.3
9/15/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE SECURED CREDITOR PAYMENT
1254863 TMA 485.00 $48.50 0.1
9/16/2010
ANALYSIS OF NOTICE OF PROPOSED USE, SALE OR LEASE OF PROPERTY OUTSIDE OF THE
NORMAL COURSE OF BUSINESS PATIENT ACCOUNTS RECEIVABLE
1261373 JLR 485.00 $48.50 0.1
9/16/2010
PREPARATION OF NOTICE OF INTENT TO SELL PATIENT A/R
1258037 RB 585.00 $117.00
0.2
9/16/2010
PREPARATION OF EMAILS RE SALE OF A/R
1255165 TMA 485.00 $48.50 0.1
9/16/2010
PREPARATION OF NOTICE OF INTENT TO SELL PATIENT ACCOUNTS RECEIVABLE
1255534 TMA 485.00 $339.50 0.7
9/16/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE NOTICE OF INTENT TO SELL PATIENT
ACCOUNTS RECEIVABLE
1255535 TMA 485.00 $97.00
0.2
9/16/2010
EMAIL EXCHANGE WITH CLIENT RE INTENT TO SELL PATIENT ACCOUNTS RECEIVABLE
1255555 TMA 485.00 $97.00 0.2
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
12/1/2010 12
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/16/2010
FINALIZE MOTION TO SELL ACCOUNTS RECEIVABLE
1255642 TMA 485.00 $291.00 0.6
9/16/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE MOTION TO SELL ACCOUNTS RECEIVABLE
1255643 TMA 485.00 $48.50
0.1
9/17/2010
ANALYSIS OF ENTERED ORDER RE: HEARING ON ISSUES RELATING TO CURE, ASSUMPTION, AND
ASSIGNMENT OF EXECUTORY CONTRACTS AND UNEXPIRED LEASES FOR PARTIES THAT FILED
OBJECTIONS TO DEBTORS' SALE MOTION
1261379 JLR 485.00 $48.50 0.1
9/17/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE MOTION TO SELL A/R AND RESPOND
1255680 TMA 485.00 $97.00 0.2
9/17/2010
ANALYSIS OF AGREEMENT TO SELL A/R AND REVISE SAME; PREPARATION OF EMAIL EXCHANGE
1255682 TMA 485.00 $242.50
0.5
9/22/2010
ANALYSIS OF AMENDED AGREEMENT RE SALE OF A/R TO UCSB AND EMAIL RE SAME, REVISE
AGREEMENT AND RESPOND
1257159 TMA 485.00 $194.00 0.4
9/22/2010
ANALYSIS OF CORRESPONDENCE RE FINAL AGREEMENT TO SELL A/R AND RESPOND
1257196 TMA 485.00 $97.00 0.2
9/22/2010
ANALYSIS OF CORRESPONDENCE FROM MISSION AND LABWEST RE RESOLUTION OF MISSION
OBJECTION RE ADEQUATE PROTECTION
1257197 TMA 485.00 $97.00
0.2
9/22/2010
PREPARATION OF STIPULATION AND ORDER RESOLVING ASSUMPTION AND ASSIGNMENT ISSUES
WITH MISSION HOSPITAL
1257222 TMA 485.00 $1,115.50 2.3
9/23/2010
DRAFT COMPROMISE NOTICE AND MOTION WITH GE FINANCIAL, ET. AL.
1258605 AAF 415.00 $830.00 2.0
9/23/2010
ANALYSIS OF LABWEST'S FOURTH DESIGNATION OF LEASES FOR ASSUMPTION/REJECTION
1257415 TMA 485.00 $97.00
0.2
9/23/2010
ANALYSIS OF LABWEST'S FIFTH DESIGNATION OF LEASES FOR ASSUMPTION/REJECTION
1257416 TMA 485.00 $97.00 0.2
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CASE # 4367
Page #
12/1/2010 13
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/23/2010
PREPARATION OF LEASE REJECTION NOTICE RE 2400 E. 8TH ST, NATIONAL CITY LEASE
1257417 TMA 485.00 $145.50 0.3
9/23/2010
PREPARATION OF LEASE REJECTION NOTICE RE 2380 MONTPELIER DRIVE, SAN JOSE LEASE
1257418 TMA 485.00 $145.50
0.3
9/23/2010
ANALYSIS OF CORRESPONDENCE FROM COUNSEL FOR MOWRY AVE LEASE RE STATUS OF LEASE
1257440 TMA 485.00 $48.50 0.1
9/23/2010
PREPARATION OF CORRESPONDENCE TO MISSION HOSPITAL RE STIPULATION RESOLVING
ADEQUATE ASSURANCE AND CURE ISSUES
1257648 TMA 485.00 $97.00 0.2
9/24/2010
DRAFT COMPROMISE NOTICE AND MOTION WITH GE FINANCIAL, ET. AL.
1258610 AAF 415.00 $913.00
2.2
9/24/2010
ANALYSIS OF SECOND AMENDMENT TO APA FROM LC AND MULTIPLE RELATED EMAILS
1260780 RB 585.00 $175.50 0.3
9/27/2010
ANALYSIS OF CORRESPONDENCE FROM BUYER RE: ASSUMPTION AND ASSIGNMENT OF INLAND
EMPIRE HEALTH PLAN CONTRACT
1258915 JPF 335.00 $33.50 0.1
9/27/2010
PREPARATION OF STIPULATION AND ORDER RESOLVING BECKMAN CURE ISSUES
1258574 TMA 485.00 $388.00
0.8
9/27/2010
ANALYSIS OF CORRESPONDENCE FROM BECK MAN COUNSEL RE STIPULATION RESOLVING
BECKMAN CURE ISSUES AND RESPOND
1258575 TMA 485.00 $97.00 0.2
9/27/2010
TELEPHONE CONFERENCE WITH COUNSEL FOR LANDLORD OF DYER RD LEASE RE STATUS OF
CASE, SALE, AND LEASE
1258695 TMA 485.00 $97.00 0.2
9/28/2010
ANALYSIS OF ENTERED ORDER GRANTING DEBTORS' SECOND MOTION TO REJECT UNEXPIRED
LEASE
1261576 JLR 485.00 $48.50
0.1
9/28/2010
EMAIL EXCHANGE RE SETTLEMENT OF MISSION OBJECTION TO CURE ISSUES
1258948 TMA 485.00 $97.00 0.2
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CASE # 4367
Page #
12/1/2010 14
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/28/2010
ANALYSIS OF SECOND AMENDMENT TO APA
1258951 TMA 485.00 $97.00 0.2
9/28/2010
ANALYSIS OF CORRESPONDENCE RE SECOND AMENDMENT TO APA AND RESPOND (MULTI)
1258952 TMA 485.00 $145.50
0.3
9/28/2010
PREPARATION OF CORRESPONDENCE TO BUYER AND MISSION RE STIPULATION RESOLVING
ADEQUATE ASSURANCE ISSUES
1259111 TMA 485.00 $97.00 0.2
9/28/2010
ANALYSIS OF REVISED ACKNOWLEDGMENT OF UPDATED CLOSING SCHEDULES TO APA
1259133 TMA 485.00 $97.00 0.2
9/28/2010
ANALYSIS OF CORRESPONDENCE RE REVISED ACKNOWLEDGMENT OF UPDATED CLOSING
SCHEDULES TO APA AND RESPOND
1259134 TMA 485.00 $97.00
0.2
9/28/2010
ANALYSIS OF CORRESPONDENCE FROM MISSION HOSPITAL COUNSEL RE STIPULATION
RESOLVING ADEQUATE ASSURANCE ISSUES AND RESPOND, REVIEW REVISIONS
1259375 TMA 485.00 $97.00 0.2
9/28/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE MISSION HOSPITAL STIPULATION
RESOLVING ADEQUATE ASSURANCE ISSUES
1259409 TMA 485.00 $97.00 0.2
9/28/2010
ANALYSIS OF BUYER DESIGNATION RE INLAND EMPIRE HEALTH PLAN
1259410 TMA 485.00 $48.50
0.1
9/29/2010
ANALYSIS OF STIPULATION BY WESTCLIFF MEDICAL LABORATORIES, INC. AND BECKMAN
COULTER, INC. - RESOLVING LIMITED OPPOSITION TO DEBTORS' SALE MOTION
1261577 JLR 485.00 $48.50 0.1
9/29/2010
ANALYSIS OF CORRESPONDENCE FROM MISSION HOSPITAL COUNSEL RE SETTLEMENT OF CURE
AND ADEQUATE PROTECTION ISSUES AND RESPOND
1259455 TMA 485.00 $97.00 0.2
9/29/2010
TELEPHONE CONF. W/ OPP COUNSEL FOR BECKMAN RE STIPULATION RESOLVING CURE CLAIM
AND EMAIL RE SAME
1259472 TMA 485.00 $97.00
0.2
9/29/2010
PREPARATION OF REVISED STIPULATION RESOLVING BECKMAN CURE CLAIM
1259473 TMA 485.00 $97.00 0.2
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Page #
12/1/2010 15
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/1/2010
ANALYSIS OF STIPULATION BY DEBTOR AND MISSION HOSPITAL RESOLVING LIMITED
OBJECTION TO SALE MOTION
1270823 JLR 485.00 $48.50 0.1
10/1/2010
PREPARATION OF EMAIL EXCHANGE RE USCB SALE ISSUES
1267406 RB 585.00 $58.50
0.1
10/1/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE CLOSE OF USCB SALE
1260489 TMA 485.00 $48.50 0.1
10/4/2010
ANALYSIS OF ORDER ON STIPULATION BETWEEN LABWEST AND MISSON HOSPITAL FOR
ASSUMPTION AND ASSIGNMENT RELATIVE TO SALE
1262066 JPF 335.00 $33.50 0.1
10/5/2010
PREPARATION FOR HEARING CONTINUED HEARING ON DEBTOR'S MOTION TO SELL
SUBSTANTIALLY ALL ASSETS
1262578 AAF 415.00 $166.00
0.4
10/6/2010
APPEARANCE AT HEARING CONTINUED HEARING ON SALE OF SUBSTANTIALLY ALL ASSETS
REGARDING PENDING MATTERS OF GRIFOLE, BECKMAN, ROCHE AND MISSION
1262919 AAF 415.00 $1,120.50 2.7
10/6/2010
ANALYSIS OF DOCKET TEXT RE APPROVAL OF SALE
1267676 RB 585.00 $58.50 0.1
10/7/2010
STRATEGY AND PLANNING RE FILING COMPROMISE MOTION REGARDING GE FINANCIAL
1263498 AAF 415.00 $83.00
0.2
10/11/2010
REVIEW CORRESPONDENCE FROM PAKKALA RE APPROVAL OF MANAGEMENT AGREEMENT
MOTION
1272685 AAF 415.00 $83.00 0.2
10/11/2010
ANALYSIS OF EMAILS RE LAB WEST ISSUES
1268137 RB 585.00 $58.50 0.1
10/12/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE STATUS OF DESIGNATIONS AND RESPOND
1265008 TMA 485.00 $48.50
0.1
10/13/2010
ANALYSIS OF CORRESPONDENCE FROM L. CONTRERAS RE SALE OF A/R TO USCB
1265156 TMA 485.00 $48.50 0.1
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
12/1/2010 16
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/13/2010
ANALYSIS OF ORDER RESOLVING MISSION OBJECTION RE ADEQUATE ASSURANCE
1265289 TMA 485.00 $48.50 0.1
10/14/2010
ANALYSIS OF ORDER ON SECOND OMNIBUS MOTION TO REJECT
1265472 TMA 485.00 $48.50
0.1
10/18/2010
PREPARATION OF CORRESPONDENCE TO CLIENT AND KIRKLAND RE FINAL ACKNOWLEDGMENT
1266392 TMA 485.00 $48.50 0.1
10/19/2010
ANALYSIS OF EMAILS RE: DISCLOSURE SCHEDULES FOR BUYER
1271385 RB 585.00 $58.50 0.1
10/19/2010
ANALYSIS OF USCB APA RE ACCOUNTS RECEIVABLE
1267027 TMA 485.00 $97.00
0.2
10/19/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE USCB APA RE ACCOUNTS RECEIVABLE AND
RESPOND
1267028 TMA 485.00 $48.50 0.1
10/21/2010
ANALYSIS OF SECOND AMENDMENT TO LAB CORP APA AND RELATED DOCUMENTS AND EMAILS
1271454 RB 585.00 $234.00 0.4
10/22/2010
ANALYSIS OF EMAILS RE: AMENDMENT TO APA
1271460 RB 585.00 $117.00
0.2
10/22/2010
ANALYSIS OF REVISIONS TO ACKNOWLEDGMENT OF CLOSING SCHEDULES
1268361 TMA 485.00 $48.50 0.1
10/22/2010
ANALYSIS OF CORRESPONDENCE FROM LABWEST RE ACKNOWLEDGMENT OF CLOSING
SCHEDULES AND SECOND AMENDMENT TO APA AND RESPOND
1268362 TMA 485.00 $48.50 0.1
10/22/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE REVISIONS TO ACKNOWLEDGMENT OF
CLOSING SCHEDULES
1268423 TMA 485.00 $48.50
0.1
10/22/2010
ANALYSIS OF CORRESPONDENCE FROM K&E RE AMENDMENTS TO SALE AGREEMENT
1268438 TMA 485.00 $48.50 0.1
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
12/1/2010 17
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/25/2010
DRAFT DECLARATION OF NON OPPOSITION AND PROPOSED ORDER GRANTING COMPROMISE
MOTION RE GE FINANCIAL ET AL
1269269 AAF 415.00 $498.00 1.2
10/25/2010
ANALYSIS OF CORRESPONDENCE FROM HEALTHNET COUNSEL RE ASSUMPTION AND
ASSIGNMENT AND CURE ISSUES
1268824 TMA 485.00 $48.50
0.1
10/25/2010
ANALYSIS OF CORRESPONDENCE FROM K&E RE AMENDED RETENTION AND RESPOND
1269168 TMA 485.00 $48.50 0.1
10/26/2010
ANALYSIS OF EMAILS RE: SALE AMENDMENTS
1271552 RB 585.00 $58.50 0.1
10/26/2010
ANALYSIS OF CORRESPONDENCE FROM K&E RE FINALIZATION OF ACKNOWLEDGMENT AND
SECOND AMENDMENT TO APA
1269499 TMA 485.00 $48.50
0.1
10/27/2010
ANALYSIS OF CORRESPONDENCE FROM PHADIA RE PRICING DISCLOSURE ISSUES (MULTI)
1270209 TMA 485.00 $97.00 0.2
10/27/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE 2 TEMECULA LEASES AND RESPOND AND
EMAIL BUYER COUNSEL RE SAME
1270517 TMA 485.00 $97.00 0.2
11/1/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT AND CLAIMS TRADER RE SALE OF POC
1282250 TMA 485.00 $97.00
0.2
11/9/2010
ANALYSIS OF FURTHER AMENDMENT TO LABCORP APA AND RELATED EMAILS AND
DOCUMENTS
1278060 RB 585.00 $234.00 0.4
11/10/2010
ANALYSIS OF CORRESPONDENCE FROM BUYER COUNSEL RE FTC ACTIONS AND REPLY
1275248 TMA 485.00 $48.50 0.1
11/11/2010
ANALYSIS OF CORRESPONDENCE FROM LABWEST RE UNDISCLOSED AOMG CONTRACT
1275490 TMA 485.00 $48.50
0.1
11/11/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT (MULTI) RE UNDISCLOSED AOMG CONTRACT
1275492 TMA 485.00 $97.00 0.2
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
12/1/2010 18
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
11/11/2010
ANALYSIS OF APA PROVISIONS RE UNDISCLOSED CONTRACTS AND CURE AMOUNTS RE SAME
1275494 TMA 485.00 $97.00 0.2
11/11/2010
ANALYSIS OF FINAL ACKNOWLEDGMENT OF AMENDED CLOSING SCHEDULES AND SECOND
AMENDMENT TO APA AND CORRESPONDENCE RE SAME AND RESPOND
1275504 TMA 485.00 $242.50
0.5
11/11/2010
ANALYSIS OF CORRESPONDENCE FROM HEALTHNET RE STATUS OF CONTRACT AND RESPOND
1275505 TMA 485.00 $48.50 0.1
11/11/2010
TELEPHONE CONFERENCE WITH LABWEST COUNSEL AND CLIENT RE FTC INVESTIGATION AND
ISSUES RE SAME
1275543 TMA 485.00 $194.00 0.4
11/12/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE FTC INVESTIGATION AND RESPOND
1276036 TMA 485.00 $48.50
0.1
11/12/2010
ANALYSIS OF JOINT DEFENSE AGREEMENT AND CORRESPONDENCE RE SAME AND FTC
INVESTIGATION FROM BUYER COUNSEL
1276037 TMA 485.00 $97.00 0.2
11/15/2010
ANALYSIS OF CORRESPONDENCE RE: FTC INVESTIGATION OF SALE
1276426 JPF 335.00 $33.50 0.1
11/15/2010
ANALYSIS OF FTC STRATEGY ON SETTLEMENT RECENTLY WITH SIMON PROPERTIES IN
CONNECTION WITH APPROACH AND OPTIONS FOR BIOLABS
1276428 JPF 335.00 $167.50
0.5
11/15/2010
ANALYSIS OF CORRESPONDENCE FROM OFC COUNSEL RE: CURE AMOUNT WITHDRAWAL OF
OBJECTION TO SALE
1276452 JPF 335.00 $33.50 0.1
11/15/2010
TELEPHONE CONFERENCE WITH CLIENT AND CORPORATE COUNSEL RE: FTC INVESTIGATION ON
SALE
1276674 JPF 335.00 $67.00 0.2
11/15/2010
ANALYSIS OF SALE SCHEDULES AND RELATED EMAILS
1280934 RB 585.00 $58.50
0.1
11/15/2010
EMAIL EXCHANGE RE FTC INVESTIGATION (MULTI)
1276414 TMA 485.00 $97.00 0.2
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
11/15/2010
TELEPHONE CONFERENCE WITH CLIENT AND CORPORATE COUNSEL RE FTC INVESTIGATION
AND JOINT DEFENSE AGREEMENT RE SAME
1276872 TMA 485.00 $145.50 0.3
11/16/2010
DRAFT MOTION TO ASSUME EXECUTORY CONTRACT
1277277 JLR 485.00 $970.00
2.0
11/16/2010
ANALYSIS OF CORRESPONDENCE FROM CORPORATE COUNSEL RE: FTC POTENTIAL ACTION
1277350 JPF 335.00 $33.50 0.1
11/16/2010
ANALYSIS OF CORRESPONDENCE FROM CORPORATE COUNSEL RE FTC COMPLAINT AGAINST
BUYER
1276883 TMA 485.00 $48.50 0.1
11/16/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE LEASE REJECTION ISSUES AND RESPOND
1276974 TMA 485.00 $48.50
0.1
11/16/2010
ANALYSIS OF CORRESPONDENCE FROM 675 CAMINO COUNSEL RE STATUS OF LEASE AND
RESPOND
1277312 TMA 485.00 $48.50 0.1
11/17/2010
DRAFT MOTION TO ASSUME OMITTED CONTRACT
1277773 JLR 485.00 $727.50 1.5
11/17/2010
ANALYSIS OF CORRESPONDENCE FROM CORPORATE COUNSEL RE BUYER COMPLAINT AGAINST
FTC AND ISSUES RE SAME
1277548 TMA 485.00 $48.50
0.1
11/17/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE BUYER COMPLAINT AGAINST FTC
1277549 TMA 485.00 $48.50 0.1
11/18/2010
EMAIL EXCHANGES WITH CLIENT RE SALE OF PROOFS OF CLAIM
1279038 TMA 485.00 $97.00 0.2
11/22/2010
PREPARATION OF CORRESPONDENCE TO GE CAPITAL RE WAIVER OF CONFIDENTIALITY RE
DISCUSSING SALE WITH LABWEST COUNSEL
1279366 TMA 485.00 $97.00
0.2
11/22/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE SALE OF A/R AND RESPOND
1279367 TMA 485.00 $48.50 0.1
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
12/1/2010 20
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
11/23/2010
EMAILS WITH CLIENT RE SALE OF A/R
1279856 TMA 485.00 $48.50 0.1
11/23/2010
ANALYSIS OF CORRESPONDENCE FROM LABWEST COUNSEL RE EXTENSION OF DEADLINES TO
ASSUME OR REJECT AND EMAIL CLIENT RE SAME
1279859 TMA 485.00 $48.50
0.1
11/23/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE SALE OF CLAIMS
1279945 TMA 485.00 $48.50 0.1
11/23/2010
PREPARATION OF MOTION TO ASSUME AND ASSIGN ARROYO CONTRACT PER APA
1279946 TMA 485.00 $291.00 0.6
11/23/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE MOTION TO ASSUME AND ASSIGN ARROYO
CONTRACT PER APA
1279947 TMA 485.00 $48.50
0.1
11/23/2010
TELEPHONE CONFERENCE WITH CLIENT (L CONTREREAS) RE MOTION TO ASSUME AND ASSIGN
ARROYO CONTRACT PER APA
1279970 TMA 485.00 $48.50 0.1
11/23/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE CURE AMOUNT ON ARROYO CONTRACT
1279971 TMA 485.00 $48.50 0.1
11/23/2010
PREPARATION OF FORM LETTER FOR DEBTOR TO SEND TO PARTIES SEEKING ADDITIONAL CURE
AMOUNTS
1279976 TMA 485.00 $97.00
0.2
11/27/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE ACKNOWLEDGMENT OF CLOSING
SCHEDULES AND AMENDMENT TO APA
1281208 TMA 485.00 $48.50 0.1
11/29/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT (MULTI) RE SALE OF VICTOR VALLEY A/R CLAIM
AND RESPOND
1280928 TMA 485.00 $97.00 0.2
11/29/2010
PREPARATION OF CORRESPONDENCE REVIEW AND REVISE TRANSACTION DOCUMENTS RE SALE
OF VICTOR VALLEY A/R CLAIM
1280929 TMA 485.00 $242.50
0.5
11/29/2010
ANALYSIS OF CORRESPONDENCE FROM LABWEST COUNSEL RE ASSUMPTION OF ARROYO
CONTRACT AND RESPOND
1280997 TMA 485.00 $48.50 0.1
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
12/1/2010 21
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
11/29/2010
ANALYSIS OF BUYER COUNSEL'S REVISIONS TO MOTION FOR ASSUMPTION OF ARROYO
CONTRACT
1280999 TMA 485.00 $97.00 0.2
11/29/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE SALE OF VICTOR VALLEY CLAIM AND
RESPOND
1281294 TMA 485.00 $48.50
0.1
11/29/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE SALE OF VICTOR VALLEY CLAIM AND
RESPOND
1281400 TMA 485.00 $97.00 0.2
11/30/2010
ANALYSIS OF LABWEST NOTICE OF REJECTION OF 1125 E. SPRUCE LEASE
1281578 TMA 485.00 $48.50 0.1
11/30/2010
PREPARATION OF CORRESPONDENCE TO LANDLORD RE LABWEST REJECTION OF 1125 E. SPRUCE
LEASE
1281579 TMA 485.00 $97.00
0.2
11/30/2010
PREPARATION OF CORRESPONDENCE TO BUYER COUNSEL RE ARROYO CONTRACT ISSUES
1281585 TMA 485.00 $48.50 0.1
11/30/2010
TELEPHONE CONFERENCE WITH BUYER RE ARROYO CONTRACT
1281586 TMA 485.00 $48.50 0.1
11/30/2010
FINALIZE MOTION TO ASSUME ARROYO CONTRACT
1281587 TMA 485.00 $97.00
0.2
11/30/2010
PREPARATION OF CORRESPONDENCE TO BUYER AND CLIENT RE MOTION TO ASSUME ARROYO
CONTRACT
1281598 TMA 485.00 $48.50 0.1
11/30/2010
ANALYSIS OF CORRESPONDENCE FROM BUYER COUNSEL RE MOTION TO ASSUME ARROYO
CONTRACT
1282380 TMA 485.00 $48.50 0.1
11/30/2010
FINALIZE MOTION TO ASSUME AND ASSIGN ARROYO CONTRACT AND EXHIBITS THERETO
1282391 TMA 485.00 $291.00
0.6
71.1 Total $32,835.50
Case 8:10-bk-16743-TA Doc 307 Filed 12/01/10 Entered 12/01/10 16:03:51 Desc
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
12/1/2010 22
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
BUSINESS OPERATIONS 03 -
8/1/2010
PREPARATION OF EMAIL EXCHANGE RE SPECIALTY PAYMENT DISPUTE
1246525 RB 585.00 $58.50
0.1
8/1/2010
ANALYSIS OF EMAILS RE MANAGEMENT COMP ISSUES
1246532 RB 585.00 $58.50 0.1
8/1/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE CONTRACTUAL ISSUES WITH SPECIALTY AND
RESPOND
1238786 TMA 485.00 $48.50 0.1
8/1/2010
ANALYSIS OF CORRESPONDENCE FROM BARTEL RE CONTRACTUAL ISSUES WITH SECIALTY
1238787 TMA 485.00 $48.50
0.1
8/2/2010
ANALYSIS OF LEASE REJECTION ISSUES
1246553 RB 585.00 $58.50 0.1
8/3/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE: HEARING ON CURE AMOUNT ISSUE AND
NEED TO RESOLVE ISSUE
1240096 JPF 335.00 $100.50 0.3
8/3/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE: HEARING ON CURE AMOUNT ISSUE
1240123 JPF 335.00 $33.50
0.1
8/3/2010
ANALYSIS OF CONTRACT REJECTION ISSUES
1246607 RB 585.00 $117.00 0.2
8/3/2010
ANALYSIS OF EMAILS RE SPECIALTY DISPUTES
1246625 RB 585.00 $58.50 0.1
8/3/2010
ANALYSIS OF MULTIPLE EMAILS RE CONTRACT AND LEASES CURE ISSUES
1246626 RB 585.00 $117.00
0.2
8/4/2010
ANALYSIS OF EMAILS RE CURE DISPUTES
1246637 RB 585.00 $58.50 0.1
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/4/2010
ANALYSIS OF EMAILS RE LEASE ISSUES
1246641 RB 585.00 $58.50 0.1
8/4/2010
ANALYSIS OF LC LEASE DESIGNATIONS AND RELATED EMAILS
1246643 RB 585.00 $117.00
0.2
8/4/2010
ANALYSIS OF FURTHER LEASE ASSUMPTION AND REJECTION ANALYSIS AND RELATED EMAILS
1246664 RB 585.00 $117.00 0.2
8/4/2010
ANALYSIS OF FTI ORDER AND RELATED EMAILS
1246671 RB 585.00 $58.50 0.1
8/4/2010
ANALYSIS OF CONTRACT AND LEASE CURE DISPUTES
1246672 RB 585.00 $58.50
0.1
8/4/2010
PREPARATION OF CORRESPONDENCE TO BECKMAN COULTER RE POST-CLOSING INVOICES
1240352 TMA 485.00 $48.50 0.1
8/5/2010
ANALYSIS OF MULTIPLE EMAILS RE LEASE AND CURE ISSUES
1246704 RB 585.00 $117.00 0.2
8/10/2010
ANALYSIS OF CURE STIPULATION AND RELATED CURE EMAILS
1247043 RB 585.00 $117.00
0.2
8/10/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE DATE OF CLOSING OF SALE AND TRANSFER
OF INSURANCE THEREAFTER
1242589 TMA 485.00 $48.50 0.1
8/12/2010
ANALYSIS OF MOTION TO REJECT CONTRACTS AND LEASES AND RELATED EMAILS
1247119 RB 585.00 $117.00 0.2
8/12/2010
ANALYSIS OF EMAILS RE SPECIALTY DISPUTES
1247121 RB 585.00 $58.50
0.1
8/17/2010
PREPARATION OF LEASE CURE REPLY AND ANALYSIS OF MULTIPLE RELATED DOCUMENTS AND
EMAILS
1247234 RB 585.00 $175.50 0.3
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CASE # 4367
Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/18/2010
ANALYSIS OF KUNZ MEMO AND DOCUMENTS RE SPECIALTY TRUE UP SCHEDULES AND
ANALYSIS
1247249 RB 585.00 $175.50 0.3
8/23/2010
ANALYSIS OF CORRESPONDENCE FROM IRVINE COMPANY LANDLORD RE: ASSUMPTION OF
LEASE BY LABWEST
1246738 JPF 335.00 $33.50
0.1
8/23/2010
ANALYSIS OF LEASE CURE ORDER
1248762 RB 585.00 $58.50 0.1
8/23/2010
ANALYSIS OF EMAILS RE IRVINE LEASE DISPUTES
1248766 RB 585.00 $58.50 0.1
8/24/2010
PREPARATION OF EMAIL EXCHANGE RE LEASE CURE ISSUES
1250345 RB 585.00 $117.00
0.2
8/24/2010
ANALYSIS OF EMPLOYEE AND WAGE ISSUES
1250349 RB 585.00 $117.00 0.2
8/24/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE PAYMENT OF BONUSES ACCRUED PRE-
PETITION AND RESPOND
1246770 TMA 485.00 $97.00 0.2
8/24/2010
ANALYSIS OF CORRESPONDENCE FROM ROCHE RE POST-CLOSING INVOICES AND RESPOND
1246777 TMA 485.00 $48.50
0.1
8/26/2010
ANALYSIS OF EMAILS RE LEASE ISSUES
1250461 RB 585.00 $58.50 0.1
8/26/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE ACE REFUSAL TO PROVIDE COVERAGE AND
PAY CLAIMS AND RESPOND
1248116 TMA 485.00 $48.50 0.1
8/26/2010
RESEARCH REGARDING APPLICATION OF STAY TO INSURANCE POLICIES
1248117 TMA 485.00 $145.50
0.3
8/26/2010
PREPARATION OF CORRESPONDENCE TO ACE RE STAY VIOLATION FOR REFUSAL TO PROVIDE
COVERAGE AND PAY CLAIMS
1248194 TMA 485.00 $145.50 0.3
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/30/2010
TELEPHONE CONF. W/ CO-COUNSEL AT LEWIS BRISBOIS RE: SETTLEMENT PAYMENT WITH
INSURANCE COMPANY FOR $20K
1248801 JPF 335.00 $33.50 0.1
8/30/2010
ANALYSIS OF EMAILS RE SPECIALTY DISPUTES
1250515 RB 585.00 $58.50
0.1
8/31/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT L. CONTRERAS RE: THREAT TO SHUT DOWN
ACCOUNT BY MELLON BANK
1249900 JPF 335.00 $33.50 0.1
8/31/2010
ANALYSIS OF CORRESPONDENCE FROM MELLON BANK RE: THREAT TO SHUT DOWN ACCOUNT
1249901 JPF 335.00 $33.50 0.1
9/1/2010
ANALYSIS OF LEASE CURE ORDER AND RELATED EMAILS
1255032 RB 585.00 $58.50
0.1
9/1/2010
ANALYSIS OF EMAILS RE EXECUTORY CONTRACT ISSUES AND CURES
1255040 RB 585.00 $58.50 0.1
9/3/2010
ANALYSIS OF MATT EMAIL RE ESTATE WIND DOWN ISSUES
1255246 RB 585.00 $58.50 0.1
9/7/2010
ANALYSIS OF MULTIPLE DOCUMENTS AND EMAILS RE LEASE CURE ISSUES
1255365 RB 585.00 $117.00
0.2
9/7/2010
ANALYSIS OF MULTIPLE LEASE REJECTION NOTICES
1255369 RB 585.00 $117.00 0.2
9/7/2010
PREPARATION OF EMAIL EXCHANGE RE CONTINUING ROLE OF FTI AND CRO
1255370 RB 585.00 $117.00 0.2
9/8/2010
PREPARATION OF MOTION TO EXTEND EMPLOYMENT OF FTI AND CRO AND RELATED EMAIL
EXCHANGE
1255385 RB 585.00 $234.00
0.4
9/9/2010
ANALYSIS OF MULTIPLE EMAILS RE LEASE ISSUES
1255397 RB 585.00 $117.00 0.2
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CASE # 4367
Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/9/2010
ANALYSIS OF MULTIPLE EMAILS RE FTI EMPLOYMENT ISSUES
1255398 RB 585.00 $58.50 0.1
9/9/2010
ANALYSIS OF BNY CHARGES AND RELATED DOCUMENTS AND MATTERS AND EMAILS
1255418 RB 585.00 $117.00
0.2
9/10/2010
PREPARATION OF LEASE EXTENSION MOTION; ANALYSIS OF RELATED EMAILS AND DOCUMENTS
1257692 RB 585.00 $234.00 0.4
9/10/2010
ANALYSIS OF MULTIPLE EMAILS RE: LEASE AND CONTRACT ISSUES AND DISPUTES
1257705 RB 585.00 $117.00 0.2
9/10/2010
RESEARCH REGARDING REQUIREMENT OF OBTAINING COURT APPROVAL FOR INSURANCE
COMPANY TO SETTLE CLAIMS
1253422 TMA 485.00 $679.00
1.4
9/10/2010
EMAIL EXCHANGE WITH ASKO COUNSEL RE STATUS OF INSURANCE FINANCING PAYMENTS
1253517 TMA 485.00 $48.50 0.1
9/10/2010
EMAIL EXCHANGE WITH CLIENT RE EMAIL STATUS OF INSURANCE FINANCING PAYMENTS
1253578 TMA 485.00 $48.50 0.1
9/13/2010
ANALYSIS OF CORRESPONDENCE TO CLIENT RE: SETOFF BY MELLON BANK AND POTENTIAL
VIOLATION OF AUTOMATIC STAY
1253973 JPF 335.00 $33.50
0.1
9/13/2010
ANALYSIS OF LEASE EXTENSION MOTION AND RELATED PLEADINGS
1257736 RB 585.00 $117.00 0.2
9/13/2010
ANALYSIS OF MULTIPLE EMAILS RE: LEASE AND CONTRACT CURE DISPUTES AND POSSIBLE
RESOLUTIONS
1257766 RB 585.00 $117.00 0.2
9/13/2010
ANALYSIS OF ORDER SETTING HEARING ON LEASE MOTION AND RELATED EMAILS
1257767 RB 585.00 $58.50
0.1
9/13/2010
ANALYSIS OF BANK OF NEW YORK MELLON ISSUES AND EMAIL CLIENT RE SAME
1253951 TMA 485.00 $242.50 0.5
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Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/14/2010
ANALYSIS OF AFCO INSURANCE ISSUES AND RELATED DOCUMENTS AND EMAILS
1257801 RB 585.00 $117.00 0.2
9/14/2010
PREPARATION OF EMAIL EXCHANGE RE: LEASE EXTENSION ISSUES AND PLANNING
1257828 RB 585.00 $117.00
0.2
9/15/2010
APPEARANCE AT HEARING ON DEBTOR'S EMERGENCY MOTION TO EXTEND TIME TO ASSUME OR
REJECT LEASES
1254770 AAF 415.00 $1,245.00 3.0
9/15/2010
ANALYSIS OF CORRESPONDENCE FROM LABWEST RE: LEASES TO ASSUME AND ASSIGN UNDER
APA
1254833 JPF 335.00 $33.50 0.1
9/15/2010
ANALYSIS OF CORRESPONDENCE FROM LABWEST RE: LEASES TO REJECT
1254834 JPF 335.00 $33.50
0.1
9/15/2010
ANALYSIS OF LEASE EXTENSION ORDER
1257893 RB 585.00 $58.50 0.1
9/16/2010
ANALYSIS OF MANAGEMENT INCENTIVE PAYMENT AGREEMENT FROM GE AND RELATED EMAIL
EXCHANGE
1258000 RB 585.00 $234.00 0.4
9/16/2010
ANALYSIS OF WORKERS COMP AND EMPLOYEE ISSUES AND RELATED EMAILS AND DOCUMENTS
1258039 RB 585.00 $175.50
0.3
9/16/2010
PREPARATION OF CORRESPONDENCE TO BANK OF MELLON AND CLIENT RE BANK OF MELLON
CLAIM AND CONTINUED USE OF ACCOUNT
1255170 TMA 485.00 $48.50 0.1
9/16/2010
EMAILS WITH BANK OF MELLON AND CLIENT RE BANK OF MELLON CLAIM AND CONTINUED
USE OF ACCOUNT
1255172 TMA 485.00 $48.50 0.1
9/16/2010
PREPARATION OF CORRESPONDENCE TO AFCO COUNSEL RE INSURANCE ISSUES
1255409 TMA 485.00 $48.50
0.1
9/17/2010
ANALYSIS OF ENTERED ORDER GRANTING MOTION AUTHORIZING DEBTOR TO CONTINUE
PAYING SENIOR MANAGEMENT COMPENSATION
1261375 JLR 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/17/2010
ANALYSIS OF ORDER APPROVING PAYMENT OF SENIOR COMP
1258228 RB 585.00 $58.50 0.1
9/17/2010
ANALYSIS OF LEASE ORDER
1258237 RB 585.00 $58.50
0.1
9/17/2010
ANALYSIS OF MANAGEMENT COMP ISSUES
1258239 RB 585.00 $58.50 0.1
9/17/2010
ANALYSIS OF RIPLEY SETTLEMENT
1258243 RB 585.00 $58.50 0.1
9/18/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE INCENTIVE COMPENSATION STIPULATION
1256089 TMA 485.00 $48.50
0.1
9/18/2010
ANALYSIS OF CORRESPONDENCE FROM ASKO RE INSURANCE FINANCING ISSUES AND ASKO
CLAIMS AND RESPOND
1256093 TMA 485.00 $97.00 0.2
9/20/2010
ANALYSIS OF REVISED MANAGEMENT COMP AGREEMENT AND RELATED EMAILS
1258270 RB 585.00 $117.00 0.2
9/20/2010
REVISE AFCO STIPULATION RE CURE AMOUNT ON INSURANCE FINANCING CONTRACTS
1256418 TMA 485.00 $242.50
0.5
9/20/2010
PREPARATION OF EMAIL EXCHANGE WITH CLIENT RE AFCO STIPULATION RE CURE AMOUNT ON
INSURANCE FINANCING CONTRACTS
1256420 TMA 485.00 $97.00 0.2
9/20/2010
EMAILS WITH OPP COUNSEL RE AFCO STIPULATION RE CURE AMOUNT ON INSURANCE
FINANCING CONTRACTS
1256421 TMA 485.00 $97.00 0.2
9/20/2010
ANALYSIS OF FURTHER REVISIONS TO STIPULATION RE CURE AMOUNT ON AFCO CLAIM
1256422 TMA 485.00 $97.00
0.2
9/20/2010
ANALYSIS OF CORRESPONDENCE FROM OPP COUNSEL RE REVISIONS TO STIPULATION RE CURE
AMOUNT ON AFCO CLAIM AND RESPOND
1256423 TMA 485.00 $97.00 0.2
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/20/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE REVISIONS TO STIPULATION RE CURE
AMOUNT ON AFCO CLAIM
1256469 TMA 485.00 $48.50 0.1
9/21/2010
ANALYSIS OF EMAIL EXCHANGE RE: AFCO PAYMENT ISSUES
1260663 RB 585.00 $58.50
0.1
9/21/2010
ANALYSIS OF FINALIZED MANAGEMENT INCENTIVE AGREEMENT AND RELATED EMAILS
1260666 RB 585.00 $117.00 0.2
9/21/2010
ANALYSIS OF MULTIPLE EMAILS AND DOCUMENTS RE: LEASE CURE DISPUTES
1260676 RB 585.00 $117.00 0.2
9/21/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE AFCO ISSUES AND RESPOND
1256701 TMA 485.00 $97.00
0.2
9/21/2010
TELEPHONE CONFERENCE W/ CLIENT RE OPEN ISSUES RE AFCO INSURANCE, BANK OF MELLON,
BECKMAN AND ACE
1256702 TMA 485.00 $145.50 0.3
9/21/2010
ANALYSIS OF CORRESPONDENCE FROM AFCO COUNSEL RE RELIEF FROM STAY AND ADEQUATE
PROTECTION STIPULATION, MOTION TO APPROVE, AND ORDER THEREON AND RESPOND
1256708 TMA 485.00 $97.00 0.2
9/21/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE AFCO SETTLEMENT AND ECONOMIC EFFECT
OF SAME
1256747 TMA 485.00 $48.50
0.1
9/22/2010
ANALYSIS OF EMAILS RE: LEASE CURE ISSUES
1260694 RB 585.00 $58.50 0.1
9/23/2010
PREPARATION OF EMAIL EXCHANGE RE: FTI EMPLOYMENT ISSUES
1260732 RB 585.00 $58.50 0.1
9/23/2010
ANALYSIS OF MULTIPLE EMAILS AND DOCUMENTS RE: LEASE CURE ISSUES
1260740 RB 585.00 $117.00
0.2
9/23/2010
ANALYSIS OF NOTICES OF LEASE REJECTION
1260741 RB 585.00 $117.00 0.2
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/23/2010
TELEPHONE CONFERENCE WITH BNY RE SETTLEMENT OF BNY CLAIMS AND TRANSFER OF
ACCOUNT
1257661 TMA 485.00 $97.00 0.2
9/23/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE PROPOSED SETTLEMENT OF BNY CLAIMS
1257741 TMA 485.00 $194.00
0.4
9/23/2010
ANALYSIS OF BNY CLAIMS
1257742 TMA 485.00 $194.00 0.4
9/23/2010
EMAIL EXCHANGE WITH AFCO COUNSEL AND CLIENT RE CLAIM STIPULATION AND PAYMENT
THEREON
1257797 TMA 485.00 $97.00 0.2
9/23/2010
EMAIL EXCHANGE WITH CLIENT RE MAINTINANCE OF BNY ACCOUNT
1257836 TMA 485.00 $48.50
0.1
9/24/2010
PREPARATION OF MOTION TO APPROVE GE AGREEMENT AND RELATED EMAIL EXCHANGE
1260762 RB 585.00 $234.00 0.4
9/27/2010
ANALYSIS OF CORRESPONDENCE RE INCENTIVE PAY AGREEMENT AND STATUS OF SAME AND
RESPOND
1258561 TMA 485.00 $97.00 0.2
9/27/2010
PREPARATION OF REVISED OFFER RE BNY ACCOUNT ISSUES
1258675 TMA 485.00 $97.00
0.2
9/28/2010
ANALYSIS OF EMAILS RE: GE AGREEMENT
1260869 RB 585.00 $58.50 0.1
9/28/2010
ANALYSIS OF LEASE REJECTION AND CURE ISSUES
1260873 RB 585.00 $117.00 0.2
9/28/2010
ANALYSIS OF MOTION TO APPROVE AFCO AGREEMENT AND RELATED EMAILS
1260880 RB 585.00 $117.00
0.2
9/28/2010
ANALYSIS OF MISSION HOSPITAL CLAIM STIPULATION AND RELATED EMAILS
1260887 RB 585.00 $58.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/28/2010
ANALYSIS OF CURE ISSUES
1260889 RB 585.00 $58.50 0.1
9/28/2010
ANALYSIS OF LEASE REJECTION ORDER
1260890 RB 585.00 $58.50
0.1
9/28/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE RESOLUTION OF BNY ISSUES AND RESPOND
1258949 TMA 485.00 $97.00 0.2
9/28/2010
PREPARATION OF CORRESPONDENCE TO BNY RE SETTLEMENT OF OUTSTANDING ISSUES
1259140 TMA 485.00 $97.00 0.2
9/29/2010
ANALYSIS OF MULTIPLE EMAILS AND DOCUMENTS RE: CURE ISSUES
1260923 RB 585.00 $117.00
0.2
9/29/2010
ANALYSIS OF MULTIPLE EMAILS AND DOCUMENTS RE MANAGEMENT COMPENSATION ISSUES
1260946 RB 585.00 $175.50 0.3
9/29/2010
PREPARATION OF CORRESPONDENCE TO COMMITTEE COUNSEL RE INCENTIVE PAY AGREEMENT
1259471 TMA 485.00 $97.00 0.2
9/30/2010
ANALYSIS OF CORRESPONDENCE RE TERMINATION OF XFIN SERVICE
1259552 TMA 485.00 $48.50
0.1
9/30/2010
ANALYSIS OF CORRESPONDENCE FROM BNY RE RESOLUTION OF BNY ISSUES AND RESPOND
1260198 TMA 485.00 $97.00 0.2
9/30/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE PROPOSED SETTLEMENT WITH BNY
1260204 TMA 485.00 $97.00 0.2
10/4/2010
ANALYSIS OF EMAILS RE MANAGEMENT CLAIMS STIPULATION
1267519 RB 585.00 $58.50
0.1
10/5/2010
ANALYSIS OF EMAILS RE MANAGEMENT CLAIMS STIPULATION ISSUES
1267566 RB 585.00 $58.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/5/2010
PREPARATION OF EMAIL EXCHANGE RE LEASE ISSUES
1267608 RB 585.00 $58.50 0.1
10/5/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE INCENTIVE COMPENSATION ISSUES
1262390 TMA 485.00 $48.50
0.1
10/5/2010
ANALYSIS OF UPDATED WIND DOWN BUDGET
1263015 TMA 485.00 $145.50 0.3
10/6/2010
TELEPHONE CONFERENCE WITH MATT RE MANAGEMENT COMPENSATION ISSUES AND CASE
REVIEW
1267682 RB 585.00 $175.50 0.3
10/8/2010
ANALYSIS OF ENTERED ORDER AUTHORIZING DEBTOR TO CONTINUE PAYING SENIOR
MANAGEMENT COMPENSATION
1272327 JLR 485.00 $48.50
0.1
10/8/2010
ANALYSIS OF SENIOR MANAGEMENT COMPENSATION ORDER
1268035 RB 585.00 $58.50 0.1
10/9/2010
PREPARATION OF MANAGEMENT AGREEMENT MOTION AND RELATED PLEADINGS AND EMAILS
1268051 RB 585.00 $877.50 1.5
10/11/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE BNY ISSUES AND RESPOND
1265070 TMA 485.00 $48.50
0.1
10/13/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE LANCASTER LEASE AND RESPOND
1265160 TMA 485.00 $48.50 0.1
10/18/2010
ANALYSIS OF EMAILS RE: LEASE CURE ISSUES
1271306 RB 585.00 $58.50 0.1
10/19/2010
ANALYSIS OF CORRESPONDENCE FROM INSURANCE COMPANY ACE ATTORNEYS RE:
RETROACTIVE CANCELLATION OF POLICY
1267220 JPF 335.00 $33.50
0.1
10/22/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE USE OF NEW DIP ACCOUNT AND RESPOND
1268437 TMA 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/25/2010
ANALYSIS OF CORRESPONDENCE FROM CO-COUNSEL AT GORDON & REES RE: EMPLOYMENT
APPLICATION
1269284 JPF 335.00 $33.50 0.1
10/26/2010
ANALYSIS OF SETTLEMENT PLEADINGS RE: MANAGEMENT COMP
1271610 RB 585.00 $58.50
0.1
10/26/2010
TELEPHONE CONFERENCE WITH WELLS FARGO RE DIP ACCOUNT CHANGES
1269719 TMA 485.00 $48.50 0.1
10/26/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE WELLS FARGO DIP ACCOUNT CHANGES AND
RESPOND
1269720 TMA 485.00 $48.50 0.1
10/26/2010
TELEPHONE CONFERENCE WITH WELLS FARGO RE DIP ACCOUNT CHANGES, PRODUCT AND
RATES
1269795 TMA 485.00 $145.50
0.3
10/28/2010
ANALYSIS OF LEASE ISSUES
1272373 RB 585.00 $58.50 0.1
11/11/2010
ANALYSIS OF ARROYO OAKS CONTRACT ISSUES
1278142 RB 585.00 $58.50 0.1
11/16/2010
ANALYSIS OF EMAILS RE: MANAGEMENT PAYMENTS
1280940 RB 585.00 $58.50
0.1
11/16/2010
ANALYSIS OF EMAILS RE CONTRACT ISSUES
1280946 RB 585.00 $58.50 0.1
11/22/2010
ANALYSIS OF LABWEST LEASE ISSUES
1281219 RB 585.00 $58.50 0.1
11/22/2010
ANALYSIS OF VICTOR VALLEY AGREEMENT AND RELATED EMAILS
1281221 RB 585.00 $117.00
0.2
11/23/2010
ANALYSIS OF EMAILS RE: LEASE ISSUES
1281222 RB 585.00 $58.50 0.1
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CASE # 4367
Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
11/23/2010
ANALYSIS OF EMAILS RE: LABWEST AND CONTRACT REJECTION ISSUES
1281223 RB 585.00 $58.50 0.1
11/23/2010
ANALYSIS OF ARROYO CONTRACT MOTION
1281226 RB 585.00 $58.50
0.1
11/24/2010
ANALYSIS OF LABWEST AND CONTRACT ISSUES
1281232 RB 585.00 $58.50 0.1
11/24/2010
PREPARATION OF EMAIL EXCHANGE RE: LEASE ISSUES
1281240 RB 585.00 $58.50 0.1
11/29/2010
ANALYSIS OF VICTOR VALLEY ASSIGNMENT AGREEMENT AND RELATED EMAILS
1282396 RB 585.00 $117.00
0.2
11/29/2010
ANALYSIS OF ARROYO MEDICAL AGREEMENT EMAILS
1282398 RB 585.00 $58.50 0.1
11/29/2010
ANALYSIS OF EMAILS RE: MANAGEMENT PAYMENT ISSUES
1282403 RB 585.00 $58.50 0.1
11/29/2010
ANALYSIS OF LEASE AND CONTRACT ISSUES WITH LAB WEST
1282406 RB 585.00 $58.50
0.1
11/30/2010
ANALYSIS OF LEASE ISSUES WITH LABWEST
1282418 RB 585.00 $58.50 0.1
11/30/2010
ANALYSIS OF ARROYO MEDICAL AGREEMENT AND RELATED EMAILS
1282421 RB 585.00 $58.50 0.1
11/30/2010
ANALYSIS OF NOTICE OF RP LEASE REJECTION
1282423 RB 585.00 $58.50
0.1
11/30/2010
ANALYSIS OF MANAGEMENT PAYMENT ISSUES
1282425 RB 585.00 $58.50 0.1
30.5 Total $15,957.50
Case 8:10-bk-16743-TA Doc 307 Filed 12/01/10 Entered 12/01/10 16:03:51 Desc
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Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
CASE ADMINISTRATION 04 -
8/2/2010
ANALYSIS OF CORRESPONDENCE MONTGOMERY RE REPLY TO LETTER RE CMP NOTICE CAL
DHCS
1239437 PAG 540.00 $54.00
0.1
8/2/2010
PREPARATION OF CORRESPONDENCE EMAIL TO PETERSON, PAKULA RE MEDICAL, DHCS
1239450 PAG 540.00 $108.00 0.2
8/2/2010
ANALYSIS OF JUNE MOR ISSUES
1246544 RB 585.00 $58.50 0.1
8/3/2010
ANALYSIS OF MONTHLY OPERATING REPORTS
1249777 JLR 485.00 $97.00
0.2
8/3/2010
ANALYSIS OF MOR NO. 2
1246620 RB 585.00 $117.00 0.2
8/3/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE JUNE MOR
1239556 TMA 485.00 $48.50 0.1
8/3/2010
FINALIZE JUNE MOR FOR FILING
1239557 TMA 485.00 $145.50
0.3
8/3/2010
ANALYSIS OF POST CLOSING REPORT FROM FTI AND EMAIL RE SAME
1240023 TMA 485.00 $145.50 0.3
8/4/2010
ANALYSIS OF EMAIL TO MEGAN ELSEA RE: CLAIM BAR DATE
1249915 JLR 485.00 $48.50 0.1
08/04/2010
PREPARATION OF NOTICE OF PARTIAL WITHDRAWAL OF FIRST OMNIBUS MOTION TO REJECT
FOR E-FILING; PREPARATION OF SERVICE LISTS
1240806 LC 195.00 $78.00
0.4
8/4/2010
PREPARATION OF DECLARATION AND ORDER RE NON OPPOSITION TO FIRST OMNIBUS MOTION
TO REJECT FOR E-FILING/UPLOADING; PREPARATION OF EXHIBITS, SERVICE LISTS AND NOTICE
OF ENTRY
1240807 LC 195.00 $214.50 1.1
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Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/4/2010
PREPARATION OF ORDER RE SENIOR MANAGEMENT COMPENSATION FOR UPLOADING;
PREPARATION OF SERVICE LIST AND NOE
1241020 LC 195.00 $58.50 0.3
8/5/2010
ANALYSIS OF REQUEST FOR COURTESY NOTICE OF ELECTRONIC FILING FILED BY JOSEPH M
WELCH
1249927 JLR 485.00 $48.50
0.1
8/5/2010
TELEPHONE CONFERENCE WITH J. MCMULLEN RE STATUS OF DFEH ACTIONS, PAYMENT, AND
EMPLOYMENT
1241134 TMA 485.00 $194.00 0.4
8/9/2010
PREPARATION OF CORRESPONDENCE TO S. MURRAY FROM CITY OF HAWTHORNE WITH BLANK
POC FORM AND COURT FILING INSTRUCTIONS
1242128 LC 195.00 $39.00 0.2
8/9/2010
CONFIRM NOTICE OF CHAPTER 11 STATUS CONFERENCE
1241922 TMA 485.00 $48.50
0.1
8/10/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE FTC REQUEST FOR SCHEDULES AND SOFA
AND RESPOND
1242590 TMA 485.00 $48.50 0.1
8/11/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT AND OTHER COUNSEL RE STATUS OF STATE
COURT LITIGATION (MULTI) AND RESPOND
1242910 TMA 485.00 $97.00 0.2
8/12/2010
PREPARATION OF STIPULATION AND ORDER RESOLVING GRIFOLS' LIMITED OBJECTION TO SALE
MOTION FOR E-FILING/UPLOADING; PREPARATION OF SERVICE LISTS AND NOE
1243206 LC 195.00 $117.00
0.6
8/12/2010
PREPARATION OF SECOND OMNIBUS MOTION TO REJECT LEASES FOR E-FILING; PREPARATION
OF EXHIBIT, SERVICE LISTS AND COPY TO CHAMBERS
1243207 LC 195.00 $97.50 0.5
8/12/2010
TELEPHONE CONFERENCE WITH SPRINT RE DEPOSIT AND TRANSFER OF ACCOUNT
1243119 TMA 485.00 $48.50 0.1
8/13/2010
ANALYSIS OF CORRESPONDENCE FROM OPPOSING COUNSEL FOR CAMBRIDGE HEALTHCARE
CENTER RE: CLAIM AND REQUEST FOR RECOGNITION AS UNSECURED CREDITOR TO UST
1243537 JPF 335.00 $33.50
0.1
8/15/2010
ANALYSIS OF CORRESPONDENCE FROM CAMBRIDGE RE NON-INCLUSION IN TOP 20 LIST AND
RESEARCH ISSUES RE SAME
1243780 TMA 485.00 $145.50 0.3
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Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/18/2010
TELEPHONE CONFERENCE WITH WITH CAREY EPSTEIN RE SCHEDULE OF CONTRACTS TO BE
ACCEPTED OR REJECTED
1245301 JK 195.00 $19.50 0.1
8/18/2010
EMAILS WITH S. HAIBER RE: CASE STATUS ISSUE
1250301 JLR 485.00 $48.50
0.1
08/18/2010
PREPARATION OF OMNIBUS REPLY TO OBJECTIONS TO SALE MOTION FOR E-FILING;
PREPARATION OF EXHIBITS, SERVICE LISTS AND COPY TO CHAMBERS
1245470 LC 195.00 $370.50 1.9
8/19/2010
ANALYSIS OF DEBTORS' CHAPTER 11 CASE MANAGEMENT REPORT
1250426 JLR 485.00 $48.50 0.1
8/19/2010
PREPARATION OF CHAPTER 11 STATUS REPORT FOR E-FILING; PREPARATION OF SERVICE LISTS,
COPIES TO CHAMBERS
1246080 LC 195.00 $58.50
0.3
8/19/2010
PREPARATION OF CASE STATUS REPORT; ANALYSIS OF FILE RE SAME
1247486 RB 585.00 $468.00 0.8
8/19/2010
PREPARATION OF CHAPTER 11 STATUS REPORT
1245489 TMA 485.00 $436.50 0.9
8/20/2010
ANALYSIS OF EMAIL EXCHANGE WITH CLIENT RE FTC INVESTIGATION AND LEGAL FEES RE
SAME
1246042 TMA 485.00 $48.50
0.1
8/24/2010
ANALYSIS OF CORRESPONDENCE FROM BECKMAN SUR-REPLY TO REPLY RE CURE AMOUNT
ISSUES
1247315 TMA 485.00 $48.50 0.1
8/25/2010
ANALYSIS OF CORRESPONDENCE FROM OCC COUNSEL RE FEE APPLICATION HEARING AND
ORDER
1247392 TMA 485.00 $48.50 0.1
8/25/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE DEADLINE FOR ASSUMPTION AND
REJECTION OF REAL PROPERTY LEASES
1247678 TMA 485.00 $97.00
0.2
8/25/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE DEADLINE TO ASSUME/REJECT REAL
PROPERTY LEASES AND RESPOND
1247759 TMA 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/26/2010
ANALYSIS OF REQUEST FOR SPECIAL NOTICE BY SCOTT BLAKELY, COUNSEL FOR GOOGLE
1248084 JK 195.00 $19.50 0.1
8/26/2010
EMAILS RE: EXCLUSIVITY PERIOD ISSUES
1250625 JLR 485.00 $97.00
0.2
8/26/2010
ANALYSIS OF REQUEST FOR SPECIAL NOTICE BY GOOGLE, INC.
1248086 JPF 335.00 $33.50 0.1
8/26/2010
REVIEW AND REVISE JULY MOR AND RELATED BANK STATEMENTS
1248200 TMA 485.00 $339.50 0.7
8/30/2010
ANALYSIS OF MONTHLY OPERATING REPORTS
1250652 JLR 485.00 $97.00
0.2
08/30/2010
PREPARATION OF MOR 3 FOR E-FILING WITH THE COURT AND FILING WITH UST; PREPARATION
OF SERVICE LISTS
1248743 LC 195.00 $58.50 0.3
8/30/2010
PREPARATION OF DECLARATION RE NON OPPOSITION AND ORDER RE 2ND OMNIBUS MOTION TO
REJECT LEASES; ANALYSIS OF FILE
1249058 LC 195.00 $117.00 0.6
8/30/2010
ANALYSIS OF MOR NO. 3
1250509 RB 585.00 $58.50
0.1
8/31/2010
PREPARATION OF DECLARATION AND ORDER RE NON OPPOSITION TO 2ND OMNIBUS MOTION TO
REJECT LEASES FOR E-FILING/UPLOADING; PREPARATION OF EXHIBIT, SERVICE LISTS, NOE AND
COPIES TO CHAMBERS
1249344 LC 195.00 $97.50 0.5
8/31/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT M. PAKKALA RE LOCK BOX ISSUES
1249864 TMA 485.00 $48.50 0.1
9/1/2010
ANALYSIS OF CLIENT EMAILS RE OUTSTANDING CASE ISSUES
1255035 RB 585.00 $58.50
0.1
9/2/2010
PREPARATION OF NOTICE OF MOTION AND DEBTORS MOTION TO APPROVE SETTLEMENT
AGREEMENT BETWEEN WESTCLIFF MEDICAL LABORATORIES, INC. AND PHYLLIS RIPLEY;
MEMORANDUM OF POINTS AND AUTHORITIES AND DECLARATION OF MATTHEW PAKKALA IN
1251142 JK 195.00 $175.50 0.9
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/2/2010
ANALYSIS OF REQUEST FOR SPECIAL NOTICE; FILED BY BLAKELEY & BLAKELEY LLP,
ATTORNEYS FOR CREDITOR GOOGLE INC.
1251738 JLR 485.00 $48.50 0.1
9/2/2010
ANALYSIS OF NOTICE OF CONTINUED CHAPTER 11 CASE MANAGEMENT CONFERENCE
1251742 JLR 485.00 $48.50
0.1
9/2/2010
SET UP COURT TELEPHONIC APPEARANCE FOR 09/02 STATUS CONFERENCE VIA COURTCALL
1250917 LC 195.00 $19.50 0.1
9/2/2010
PREPARATION OF NOTICE OF CONTINUED CMC HEARING FOR E-FILING; PREPARATION OF
SERVICE LISTS, JUDGE'S COPY AND CALENDAR NEW DATE
1251180 LC 195.00 $39.00 0.2
9/2/2010
ANALYSIS OF ORDER SCHEDULING CASE STATUS CONFERENCE
1255209 RB 585.00 $58.50
0.1
9/2/2010
PREPARE FOR AND APPEAR AT CHAPTER 11 STATUS CONFERENCE (TELEPHONIC)
1251153 TMA 485.00 $291.00 0.6
9/2/2010
PREPARATION OF NOTICE OF CONTINUED CHAPTER 11 STATUS CONFERENCE
1251159 TMA 485.00 $48.50 0.1
9/2/2010
ANALYSIS OF CORRESPONDENCE FROM PURCHASER RE MOTION TO EXTEND TIME TO ASSUME
OR REJECT
1251424 TMA 485.00 $48.50
0.1
9/7/2010
ANALYSIS OF ORDER GRANTING APPLICATION OF NON-RESIDENT ATTORNEY, DAVID M. POWLEN
1252428 JLR 485.00 $48.50 0.1
9/7/2010
ANALYSIS OF ENTERED ORDER GRANTING APPLICATION OF NON-RESIDENT ATTORNEY, DAVID
M. POWLEN
1261080 JLR 485.00 $48.50 0.1
09/07/2010
PREPARATION OF ORDER RE CONTINUED CURE ASSUMPTION HEARING FOR UPLOADING; INSERT
PDFED SIGNATURES INTO WORD FORMATTED ORDER PER JUDGE'S REQUEST, PREPARATION OF
SERVICE LISTS AND NOE
1252370 LC 195.00 $97.50
0.5
9/7/2010
PREPARATION OF SERVICE OF MULTIPLE NOTICES OF LEASE REJECTION (BY EMAIL AND U.S.
MAIL)
1252536 LC 195.00 $58.50 0.3
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
09/08/2010
PREPARATION OF SECOND MOTION TO CONTINUE PAYING SENIOR MANAGEMENT
COMPENSATION FOR E-FILING; PREPARATION OF SERVICE LISTS, COPY TO CHAMBERS
1253056 LC 195.00 $136.50 0.7
9/9/2010
EMAILS WITH CLIENT REPS AND OTHERS RE: MELLON BANK ISSUE
1261126 JLR 485.00 $145.50
0.3
9/9/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE OPEN ISSUES AND RESPOND
1253067 TMA 485.00 $97.00 0.2
9/9/2010
TELEPHONE CONFERENCE WITH L. CONTRERAS RE OPEN ISSUES WITH MELLON AND ACE
1253095 TMA 485.00 $97.00 0.2
9/9/2010
RESEARCH REGARDING VIOLATION OF STAY RE BANK OF MELLON NOTICE OF INTENT TO
TERMINATE ACCOUNT
1253187 TMA 485.00 $533.50
1.1
9/9/2010
TELEPHONE CONFERENCE WITH BANK OF MELLON COUNSEL RE MAINTAINING ACCOUNT
1253188 TMA 485.00 $97.00 0.2
9/10/2010
EMAILS AND CALLS WITH ATTORNEY ELISSA MILLER RE; CASE STATUS ISSUES
1261225 JLR 485.00 $97.00 0.2
09/10/2010
PREPARATION OF MOTION TO EXTEND TIME TO ASSUME OR REJECT LEASES FOR E-FILING;
PREPARATION OF SERVICE LISTS AND COPY TO CHAMBERS
1253946 LC 195.00 $97.50
0.5
9/10/2010
PREPARATION OF APPLICATION FOR OST FOR MOTION TO EXTEND TIME TO ASSUME OR REJECT
LEASES AND RELATED PLEADINGS FOR E-FILING; PREPARATION OF SERVICE LISTS AND COPIES
TO CHAMBERS
1253947 LC 195.00 $175.50 0.9
9/10/2010
ANALYSIS OF CORRESPONDENCE FROM LABWEST RE MOTION TO EXTEND TIME TO ASSUME OR
REJECT REAL PROPERTY LEASES AND RESPOND
1253416 TMA 485.00 $97.00 0.2
9/10/2010
PREPARATION OF MOTION TO EXTEND TIME TO ASSUME OR REJECT REAL PROPERTY LEASES
1253417 TMA 485.00 $1,018.50
2.1
9/10/2010
PREPARATION OF APPLICATION TO SHORTEN TIME RE MOTION TO EXTEND TIME TO ASSUME OR
REJECT REAL PROPERTY LEASES
1253418 TMA 485.00 $339.50 0.7
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CASE # 4367
Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/10/2010
ANALYSIS OF REVISED APPLICATION TO SHORTEN TIME RE MOTION TO EXTEND TIME TO
ASSUME OR REJECT REAL PROPERTY LEASES
1253513 TMA 485.00 $48.50 0.1
9/10/2010
EMAIL EXCHANGE WITH CLIENT RE MOTION TO EXTEND TIME TO ASSUME OR REJECT REAL
PROPERTY LEASES
1253594 TMA 485.00 $48.50
0.1
9/10/2010
PREPARATION OF CORRESPONDENCE TO LABWEST COUNSEL RE MOTION TO EXTEND TIME TO
ASSUME OR REJECT REAL PROPERTY LEASES
1253675 TMA 485.00 $97.00 0.2
9/13/2010
PREPARATION OF SUBMISSION OF M. AICHER'S SIGNATURE PAGE FOR E-FILING; PREPARATION
OF SERVICE LISTS AND COPY TO CHAMBERS (RE MOTION TO EXTEND TIME TO ASSUME OR
REJECT LEASES)
1254010 LC 195.00 $58.50 0.3
9/13/2010
PROVIDE TELEPHONIC NOTICE OF HEARING RE MOTION TO EXTEND TIME TO ASSUME OR
REJECT TO INTERESTED PARTIES AND AFFECTED LANDLORDS (MULTIPLE CALLS)
1254356 LC 195.00 $195.00
1.0
9/13/2010
PREPARATION OF SERVICE BY OVERNIGHT MAIL TO INTERESTED PARTIES AND AFFECTED
LANDLORDS OF: 1) NOTICE OF HEARING AND 2) ORDER GRANTING APPLICATION AND SETTING
HEARING ON SHORTENED NOTICE
1254359 LC 195.00 $58.50 0.3
9/13/2010
EMAIL EXCHANGE WITH AFCO RE OPEN INSURANCE POLICIES AND ISSUES RE PAYMENT OF
SAME
1253934 TMA 485.00 $97.00 0.2
9/13/2010
ANALYSIS OF PLAN EXCLUSIVITY ISSUES
1253950 TMA 485.00 $97.00
0.2
9/13/2010
PREPARATION OF NOTICE OF HEARING ON MOTION TO EXTEND TIME TO ASSUME OR REJECT
REAL PROPERTY LEASES
1254107 TMA 485.00 $194.00 0.4
9/13/2010
GIVE EMAIL AND TELEPHONIC NOTICE OF HEARING ON MOTION TO EXTEND TIME TO ASSUME
OR REJECT REAL PROPERTY LEASES
1254108 TMA 485.00 $291.00 0.6
9/13/2010
TELEPHONE CONF. W/ COURT STAFF RE NOTICE ON MOTION TO EXTEND TIME TO ASSUME OR
REJECT
1254256 TMA 485.00 $97.00
0.2
9/14/2010
PREPARATION OF EMAIL TO RENEE HYMANN RE FILING A PROOF OF CLAIM FORM
1254338 JK 195.00 $39.00 0.2
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/14/2010
PREPARATION OF NOTICE OF HEARING ON MOTION TO EXTEND TIME TO ASSUME OR REJECT FOR
E-FILING
1254358 LC 195.00 $39.00 0.2
9/14/2010
PREPARATION OF PROOF OF SERVICE BY OVERNIGHT MAIL TO INTERESTED PARTIES AND
AFFECTED LANDLORDS OF: 1) NOTICE OF HEARING AND 2) ORDER GRANTING APPLICATION AND
SETTING HEARING ON SHORTENED NOTICE; E-FILE SAME
1254360 LC 195.00 $58.50
0.3
9/14/2010
PREPARATION OF DECLARATION OF SERVICE OF TELEPHONIC SERVICE TO INTERESTED PARTIES
AND AFFECTED LANDLORDS; E-FILE SAME AND SUBMIT COPY TO CHAMBERS
1254773 LC 195.00 $58.50 0.3
9/14/2010
PREPARATION OF EMAIL CELINE KAISER (EISENHOWER) COPIES OF NOTICE OF HEARING AND
MOTION TO EXTEND TIME TO ASSUME OR REJECT LEASES AT HER REQUEST (MULTIPLE EMAILS
AND CALLS)
1254779 LC 195.00 $39.00 0.2
9/14/2010
EMAILS WITH CLIENT RE SERVICE ISSUES RE MOTION TO EXTEND TIME TO ASSUME OR REJECT
1254265 TMA 485.00 $48.50
0.1
9/15/2010
PREPARATION OF ORDER RE: MOTION TO EXTEND TIME TO ASSUME OR REJECT LEASES FOR
UPLOADING; PREPARATION OF SERVICE LISTS, COPY TO CHAMBERS AND CALL JUDGE'S CLERK
TO ADVISE OF FILING OF ORDER
1254948 LC 195.00 $78.00 0.4
9/15/2010
PREPARATION OF ORDER ON MOTION TO EXTEND TIME TO ASSUME OR REJECT LEASES
1254941 TMA 485.00 $145.50 0.3
9/15/2010
EMAILS RE INSURANCE ISSUES
1254960 TMA 485.00 $48.50
0.1
09/16/2010
PREPARATION OF NOTICE OF INTENT TO SALE FOR E-FILING; PREPARATION OF SERVICE LISTS
AND COPY TO CHAMBERS
1255739 LC 195.00 $58.50 0.3
9/16/2010
PREPARATION OF F 6004-2 NOTICE FOR E-FILING; PREPARATION OF SERVICE LISTS AND COPY TO
CHAMBERS
1255746 LC 195.00 $58.50 0.3
9/17/2010
PREPARATION OF DECLARATION OF JOHN-PATRICK M. FRITZ RE: RECEIPT OF NEITHER
OPPOSITION TO NOR REQUEST FOR HEARING ON DEBTORS MOTION TO APPROVE SETTLEMENT
AGREEMENT BETWEEN WESTCLIFF MEDICAL LABORATORIES, INC. AND PHYLLIS RIPLEY; EFILE
1255972 JK 195.00 $97.50
0.5
9/17/2010
PREPARATION OF ORDER GRAINTING DEBTORS MOTION TO APPROVE SETTLEMENT
AGREEMENT BETWEEN WESTCLIFF MEDICAL LABORATORIES, INC. AND PHYLLIS RIPLEY;
UPLOAD ORDER WITH COURT LOU SYSTEM
1256027 JK 195.00 $136.50 0.7
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/18/2010
ANALYSIS OF ORDER EXTENDING TIME TO ASSUME OR REJECT
1256087 TMA 485.00 $48.50 0.1
9/18/2010
ANALYSIS OF ORDER SETTING DATES AND DEADLINES RE OPEN CURE ISSUES
1256091 TMA 485.00 $48.50
0.1
09/20/2010
DRAFT DECLARATION RE NON OPP AND ORDER RE SECOND MOTION TO CONTINUE PAYING
SENIOR MANAGEMENT; ANALYSIS OF FILE
1256503 LC 195.00 $175.50 0.9
9/23/2010
PREPARATION OF DECLARATION AND ORDER RE NON OPP TO 2ND MANAGEMENT
COMPENSATION MOTION FOR E-FILING/UPLOADING; PREPARATION OF EXHIBIT, SERVICE LISTS,
NOE AND COPY TO CHAMBERS
1257562 LC 195.00 $117.00 0.6
9/24/2010
ANALYSIS OF APPLICATION OF NON-RESIDENT ATTORNEY JONATHAN BRAVERMAN
1261531 JLR 485.00 $48.50
0.1
9/24/2010
TELEPHONE CONFERENCE WITH CLIENT RE TRANSFER OF BNY ACCOUNT
1258133 TMA 485.00 $48.50 0.1
9/27/2010
ANALYSIS OF MEMO TO BOARD RE STATUS OF CASE
1258560 TMA 485.00 $48.50 0.1
9/27/2010
ANALYSIS OF CORRESPONDENCE FROM K&E RE CONTRACT ASSUMPTIONS AND RESPOND
1258929 TMA 485.00 $48.50
0.1
9/29/2010
ANALYSIS OF REQUEST FOR NOTICE OF CITY AND COUNTY OF SAN FRANCISCO
1261579 JLR 485.00 $48.50 0.1
9/30/2010
PREPARATION OF CORRESPONDENCE TO CLIENT AND K&E RE SUPPLEMENTAL EMPLOYMENT
APPLICATION
1259984 TMA 485.00 $48.50 0.1
10/1/2010
PREPARATION OF AMENDED APPLICATION OF DEBTORS AND DEBTORS IN POSSESSION TO
EMPLOY KIRKLAND & ELLIS LLP AS SPECIAL CORPORATE COUNSEL PURSUANT TO 11 U.S.C.
327(E) AND 330; DECLARATION OF RYAN BENNETT IN SUPPORT THEREOF; EFILE WITH COURT ECF
1260714 JK 195.00 $175.50
0.9
10/1/2010
PREPARATION OF STIPULATION AND ORDER RESOLVING MISSION HOSPITAL ASSUMPTION
ISSUES FOR E-FILING/UPLOADING; PREPARATION OF SERVICE LISTS, NOE AND COPIES TO
CHAMBERS
1260554 LC 195.00 $117.00 0.6
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/4/2010
TELEPHONE CONF. W/ COURT STAFF CALL TO COURTCALL RE: SETUP TMA FOR TELEPHONIC
APPEARANCE FOR 10/6/10 HEARING
1261946 SR 195.00 $39.00 0.2
10/4/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE NATIONAL UNION MEDIATION
1262450 TMA 485.00 $48.50
0.1
10/5/2010
REVIEW AND UPLOAD VARIOUS PROOFS OF CLAIM IN PREPARATION FOR REVIEW
1262850 SR 195.00 $78.00 0.4
10/6/2010
REVIEW AND UPLOAD VARIOUS PROOFS OF CLAIM IN PREPARATION FOR REVIEW
1263264 SR 195.00 $39.00 0.2
10/7/2010
REVIEW AND UPLOAD VARIOUS PROOFS OF CLAIM IN PREPARATION FOR REVIEW
1263265 SR 195.00 $58.50
0.3
10/7/2010
PREPARATION OF DOCUMENTS PREPARE ELECTRONIC COPIES OF PROOFS OF CLAIM FOR
SERVICE TO L. CONTRERAS.
1263496 SR 195.00 $97.50 0.5
10/7/2010
TELEPHONE CONFERENCE WITH COUNSEL FOR AMERICAN EXPRESS RE: WITHDRAW OF
SUBPOENAS.
1263501 SR 195.00 $39.00 0.2
10/7/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE MULTIPLE OPERATIONAL ISSUES AND
RESPOND
1263379 TMA 485.00 $48.50
0.1
10/8/2010
ANALYSIS OF CREDIT MATRIX RE: PROOFS OF CLAIM
1264363 SR 195.00 $58.50 0.3
10/11/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE RESPONSIBILITIES ON RESPONDING TO
DOCUMENT PRODUCTION REQUESTS RE NON-BK LITIGATION
1265025 TMA 485.00 $48.50 0.1
10/12/2010
ANALYSIS OF CLAIM ANALYSIS; RE DISPUTED, UNLIQUIDATED AND CONTINGENT CLAIMS
1264581 JK 195.00 $78.00
0.4
10/12/2010
PREPARATION OF PROOF OF SERVICE OF ENTERED ORDER RE DEBTORS' SECOND OMNIBUS
MOTION TO REJECT LEASES; E-FILE AND SEND COPY TO CHAMBERS
1264783 LC 195.00 $39.00 0.2
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/12/2010
PREPARATION OF DOCUMENTS ORGANIZE AND PREPARE WESTCLIFF PROOFS OF CLAIM
1264988 SR 195.00 $351.00 1.8
10/12/2010
ANALYSIS OF CLAIMS REGISTER CHART IN PREPARATION TO CIRCULATE
1264992 SR 195.00 $39.00
0.2
10/14/2010
ANALYSIS OF MONTHLY OPERATING REPORT #4 FOR THE MONTH OF AUGUST 2010;
TROUBLESHOOT PRINTING ISSUES
1265482 JK 195.00 $58.50 0.3
10/15/2010
PREPARATION OF MONTHLY OPERATING REPORT FOR E-FILING; PREPARATION OF SERVICE LIST
AND COPIES TO CHAMBERS AND UST
1266141 LC 195.00 $58.50 0.3
10/15/2010
ANALYSIS OF MOR NO. 4
1269022 RB 585.00 $117.00
0.2
10/18/2010
ANALYSIS OF REQUEST FOR SPECIAL NOTICE BY RONALD BROWN - COUNSEL TO LGSM LAGUNA
HILLS, LLC
1266549 JK 195.00 $19.50 0.1
10/18/2010
ANALYSIS OF DECLARATION OF JOHN-PATRICK M. FRITZ RE: RECEIPT OF NEITHER OPPOSITION
TO NOR REQUEST FOR HEARING ON DEBTORS MOTION TO EXTEND DEBTORS' EXCLUSIVITY
PERIODS FOR FILING PLANS OF REORGANIZATION AND OBTAINING ACCEPTANCES THEREOF
1272545 JLR 485.00 $48.50 0.1
10/18/2010
ANALYSIS OF EMAILS RE: DIP ACTS ISSUES AND INVESTMENT OPTIONS FOR ESTATE FUNDS
1271321 RB 585.00 $58.50
0.1
10/19/2010
PREPARATION OF 'REPLACEMENT' ORDER EXTENDING DEBTORS' EXCLUSIVITY PERIODS FOR
FILING PLANS OF REORGANIZATION AND OBTAINING ACCEPTANCES THEREOF; UPLOAD ORDER
REPLACING ORDER UPLOADED YESTERDAY
1266853 JK 195.00 $58.50 0.3
10/25/2010
EMAIL WITH CLIENT RE MOTION TO APPROVE SETTLEMENT RE MANAGEMENT CLAIMS
1269145 TMA 485.00 $48.50 0.1
10/26/2010
EMAILS RE DISCOVERY ISSUES RE THIRD-PARTY DISCOVERY REQUESTS
1269502 TMA 485.00 $97.00
0.2
10/26/2010
PREPARATION OF DECLARATION OF NON-OPPOSITION AND ORDER; SERVICE
1270232 TRISH 125.00 $281.25 2.3
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/27/2010
ANALYSIS OF ORDER EXTENDING PLAN EXCLUSIVITY
1270138 TMA 485.00 $48.50 0.1
10/27/2010
TELEPHONE CONFERENCE WITH PROCESS SERVER RE SUBPOENAS ON BIOLABS WESTCLIFF
1270139 TMA 485.00 $97.00
0.2
10/27/2010
PREPARATION OF FORM LETTER TO RESPOND TO POST-CLOSING THIRD-PARTY DISCOVERY
REQUESTS
1270140 TMA 485.00 $194.00 0.4
10/27/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE FORM LETTER TO RESPOND TO POST-
CLOSING THIRD-PARTY DISCOVERY REQUESTS AND REPLY (MULTI)
1270228 TMA 485.00 $97.00 0.2
10/27/2010
TELEPHONE CONFERENCE W/ CLIENT RE DIP ACCOUNT AND DISCOVERY RESPONSE ISSUES
1270410 TMA 485.00 $97.00
0.2
11/2/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE THIRD-PARTY SUBPOENA ISSUES
1273238 TMA 485.00 $48.50 0.1
11/2/2010
TELEPHONE CONF. W/ OPP COUNSEL FOR LABWEST RE THIRD-PARTY SUBPOENA ISSUES
1273239 TMA 485.00 $48.50 0.1
11/2/2010
TELEPHONE CONFERENCE WITH M. LUBIC RE RESPONSE TO THIRD PARTY SUBPOENAS
1273553 TMA 485.00 $97.00
0.2
11/3/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE THIRD-PARTY SUBPOENAS AND EMAIL
LABWEST COUNSEL RE SAME
1273825 TMA 485.00 $48.50 0.1
11/3/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE AETNA ASSIGNMENT AND RESPOND
1273866 TMA 485.00 $48.50 0.1
11/3/2010
REVIEW AND REVISE AETNA ASSIGNMENT
1273867 TMA 485.00 $145.50
0.3
11/3/2010
ADDITIONAL EMAIL EXCHANGE WITH CLIENT AND LW COUNSEL RE AETNA ASSIGNMENT
1273873 TMA 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
11/3/2010
REVIEW AND REVISE SEPTEMBER MOR
1273884 TMA 485.00 $194.00 0.4
11/3/2010
EMAIL EXCHANGE WITH CLIENT RE SEPTEMBER MOR
1273929 TMA 485.00 $48.50
0.1
11/8/2010
ANALYSIS OF CORRESPONDENCE REGARDING CLAIM OBJECTIONS
1278874 GDL 335.00 $100.50 0.3
11/8/2010
ANALYSIS OF CASH FORECASTS AND AR COLLECTION SUMMARY
1274668 TMA 485.00 $97.00 0.2
11/10/2010
PREPARATION OF MOR NO. 5 FOR WESTCLIFF, REDACT CONFIDENTIAL INFORMATION
1275130 LC 195.00 $175.50
0.9
11/10/2010
E-FILE PROOF OF SERVICE OF ENTERED ORDER RE STIPULATION RESOLVING THE CLAIMS OF
THE BANK OF NEW YORK MELLON AND COURTESY COPY TO CHAMBERS
1276571 LC 195.00 $39.00 0.2
11/11/2010
CONTINUE REDACTING CONFIDENTIAL INFORMATION FOR MOR NO. 5 BANK STATEMENTS
1275717 LC 195.00 $58.50 0.3
11/11/2010
ANALYSIS OF CORRESPONDENCE FROM LABWEST RE FTC INVESTIGATION ISSUES
1275486 TMA 485.00 $48.50
0.1
11/16/2010
ANALYSIS OF CORRESPONDENCE RE THIRD-PARTY SUBPOENAS AND RESPOND
1276875 TMA 485.00 $48.50 0.1
11/16/2010
ANALYSIS OF LABCORP COMPLAINT AGAINST THE FTC
1277048 TMA 485.00 $242.50 0.5
11/16/2010
ANALYSIS OF CORRESPONDENCE RE ASSUMPTION OF UNDISCLOSED REAL PROPERTY LEASE
1277164 TMA 485.00 $48.50
0.1
11/16/2010
ANALYSIS OF CORRESPONDENCE FROM LABWEST RE THIRD-PARTY SUBPOENAS
1277182 TMA 485.00 $48.50 0.1
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Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
11/16/2010
ANALYSIS OF CORRESPONDENCE RE THIRD-PARTY SUBPOENAS
1277283 TMA 485.00 $48.50 0.1
11/27/2010
ANALYSIS OF CORRESPONDENCE FROM CORPORATE COUNSEL RE ACKNOWLEDGMENT OF
CLOSING SCHEDULES AND AMENDMENT TO APA
1281215 TMA 485.00 $48.50
0.1
11/29/2010
ANALYSIS OF OCTOBER 2010 MONTHLY OPERATING REPORT
1281448 JK 195.00 $58.50 0.3
11/29/2010
PREPARATION OF STIPULATION AND ORDER CONTINUING HEARING ON ROCHE'S MOTION FOR E-
FILING/UPLOADING; PREPARATION OF SERVICE LISTS, NOE AND COPIES TO CHAMBERS
1282200 LC 195.00 $117.00 0.6
11/29/2010
ANALYSIS OF CORRESPONDENCE FROM BUYER COUNSEL RE THIRD-PARTY SUBPOENAS AND
RESPOND
1281000 TMA 485.00 $48.50
0.1
11/29/2010
FINALIZE FORM LETTER RE THIRD-PARTY SUBPOENAS AND EMAIL CLIENT RE SAME
1281001 TMA 485.00 $48.50 0.1
11/29/2010
REVIEW AND REVISE OCTOBER MOR AND REVIEW RELATED BANK STATEMENTS
1281430 TMA 485.00 $388.00 0.8
11/29/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE OCTOBER MOR AND RESPOND
1281434 TMA 485.00 $48.50
0.1
52.4 Total $16,861.25
CLAIMS ADMIN. AND OBJECTIONS 05 -
8/1/2010
EMAIL WITH CLIENT RE SMALL PAYMENT CREDIT CREDITORS AND LISTING AND NOTICE TO
SAME
1238790 TMA 485.00 $48.50
0.1
8/2/2010
PREPARATION OF EMAIL TO MAGGIEHAYNIE@YAHOO.COM WITH PROOF OF CLAIM FORM
1239137 JK 195.00 $39.00 0.2
8/2/2010
ANALYSIS OF CORRESPONDENCE FROM JOHN PARISI OF DOCUMENT SYSTEMS RE: CLAIM ISSUE
1239386 JLR 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/2/2010
TELEPHONE CONFERENCE WITH TRISHA TENNYSON RE: CLAIM ISSUE
1239420 JLR 485.00 $97.00 0.2
8/2/2010
TELEPHONE CONFERENCE WITH GEORGIA KIRKBRIDE RE: CLAIM ISSUES
1239867 JLR 485.00 $97.00
0.2
8/2/2010
TELEPHONE CONFERENCE WITH RENEE OF MENSON CO RE: CLAIM ISSUES
1239869 JLR 485.00 $97.00 0.2
8/2/2010
TELEPHONE CONFERENCE WITH JAMES MCCANDLESS RE: CLAIM ISSUES
1239870 JLR 485.00 $97.00 0.2
8/2/2010
TELEPHONE CONFERENCE WITH MARY KATHERINE JENNINGS RE: CLAIM ISSUES
1239871 JLR 485.00 $97.00
0.2
8/2/2010
TELEPHONE CONFERENCE WITH CHARLES LIU RE: CLAIM ISSUES
1239872 JLR 485.00 $97.00 0.2
8/2/2010
TELEPHONE CONFERENCE WITH J.S. WITH MERCHANT D SOLUTIONS RE: CLAIM ISSUES
1239873 JLR 485.00 $97.00 0.2
8/2/2010
TELEPHONE CONFERENCE WITH DAVID FISHMAN RE: CLAIM ISSUES
1239874 JLR 485.00 $97.00
0.2
8/2/2010
TELEPHONE CONFERENCE WITH PATRICIA, FORMER EMPLOYEE, RE: CLAIM ISSUES
1239875 JLR 485.00 $97.00 0.2
8/2/2010
TELEPHONE CONFERENCE WITH MAGGIE HANEY RE: CLAIM ISSUES
1239881 JLR 485.00 $97.00 0.2
8/2/2010
TELEPHONE CONFERENCE WITH ELAINE FAVOR RE: CLAIM ISSUES
1239882 JLR 485.00 $97.00
0.2
8/2/2010
TELEPHONE CONFERENCE WITH BRIAN CONSECO RE: CLAIM ISSUES
1239884 JLR 485.00 $97.00 0.2
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/2/2010
TELEPHONE CONFERENCE WITH JOYCE OF SPECTRUM TECHNOLOGIES RE: CLAIM ISSUES
1239886 JLR 485.00 $97.00 0.2
8/2/2010
TELEPHONE CONFERENCE WITH SIERRA OF CINTAS RE: CLAIM ISSUES
1239887 JLR 485.00 $97.00
0.2
8/2/2010
TELEPHONE CONFERENCE WITH SEAN O'BRIEN RE: CLAIM ISSUES
1239894 JLR 485.00 $97.00 0.2
8/2/2010
TELEPHONE CONFERENCE WITH ROBERT FROM DAMCO E: CLAIM ISSUES
1239895 JLR 485.00 $97.00 0.2
8/2/2010
TELEPHONE CONFERENCE WITH IVETTE, FORMER EMPLOYEE, RE: CLAIM ISSUES
1239898 JLR 485.00 $97.00
0.2
8/2/2010
ANALYSIS OF CORRESPONDENCE EMAIL FROM JOHN PARISI OF DOCUMENT SYSTEMS RE: CLAIM
ISSUE
1249732 JLR 485.00 $48.50 0.1
8/2/2010
ANALYSIS OF CORRESPONDENCE FROM CREDITOR DOCYMENT SYSTEMS RE: PREPETITION AND
ADMINISTRATIVE CLAIMS
1239359 JPF 335.00 $33.50 0.1
8/2/2010
ANALYSIS OF EMAIL AND INVOICE FROM PARISI OF DOCUMENT SYSTEMS
1246551 RB 585.00 $58.50
0.1
8/2/2010
ANALYSIS OF CORRESPONDENCE FROM DOCUMENT SYSTEMS RE STATUS OF CLAIM AND
RESPOND
1239368 TMA 485.00 $97.00 0.2
8/3/2010
PREPARATION OF EMAIL TO MATTHEW PAKALA RE PROOF OF CLAIM FORMS FOR WESTCLIFF
AND BIOLABS
1239603 JK 195.00 $19.50 0.1
8/3/2010
PREPARATION OF EMAIL TO 'RCASE@DOCUMENTSYSTEMS.COM' WITH PROOF OF CLAIM FORM
AND INSTRUCTIONS ON HOW TO FILE
1239604 JK 195.00 $19.50
0.1
8/3/2010
PREPARATION OF EMAIL TO LINDA WEBB WITH PROOF OF CLAIM FORM AND INSTRUCTIONS ON
HOW TO FILE
1239613 JK 195.00 $19.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/3/2010
PREPARATION OF CORRESPONDENCE TO TRISHA TENNYSON WITH PROOF OF CLAIM FORM,
INSTRUCTIONS ON HOW TO FILE AND RETURNING HER UNSIGNED CLAIM FORM
1239623 JK 195.00 $39.00 0.2
8/3/2010
TELEPHONE CONFERENCE WITH GEORGIA KIRKBRIDE RE: CLAIM ISSUES
1239806 JLR 485.00 $97.00
0.2
8/3/2010
TELEPHONE CONFERENCE WITH RENEE OF MENSON CO RE: CLAIM ISSUES
1239849 JLR 485.00 $97.00 0.2
8/3/2010
TELEPHONE CONFERENCE WITH JAMES MCCANDLESS RE: CLAIM ISSUES
1239850 JLR 485.00 $97.00 0.2
8/3/2010
TELEPHONE CONFERENCE WITH MARY KATHERINE JENNINGS RE: CLAIM ISSUES
1239851 JLR 485.00 $97.00
0.2
8/3/2010
TELEPHONE CONFERENCE WITH CHARLES LIU RE: CLAIM ISSUES
1239852 JLR 485.00 $97.00 0.2
8/3/2010
TELEPHONE CONFERENCE WITH JD WITH MERCHANT D SOLUTIONS RE: CLAIM ISSUES
1239853 JLR 485.00 $97.00 0.2
8/3/2010
TELEPHONE CONFERENCE WITH DAVID FISHMAN RE: CLAIM ISSUES
1239854 JLR 485.00 $97.00
0.2
8/3/2010
TELEPHONE CONFERENCE WITH PATRICIA, FORMER EMPLOYEE, RE: CLAIM ISSUES
1239855 JLR 485.00 $97.00 0.2
8/3/2010
TELEPHONE CONFERENCE WITH MAGGIE HANEY RE: CLAIM ISSUES
1239856 JLR 485.00 $97.00 0.2
8/3/2010
TELEPHONE CONFERENCE WITH ELAINE FAVOR RE: CLAIM ISSUES
1239857 JLR 485.00 $97.00
0.2
8/3/2010
TELEPHONE CONFERENCE WITH BRIAN CONSECO RE: CLAIM ISSUES
1239858 JLR 485.00 $97.00 0.2
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/3/2010
TELEPHONE CONFERENCE WITH JOYCE OF SPECTRUM TECHNOLOGIES RE: CLAIM ISSUES
1239859 JLR 485.00 $97.00 0.2
8/3/2010
TELEPHONE CONFERENCE WITH SIERRA OF CINTAS RE: CLAIM ISSUES
1239860 JLR 485.00 $97.00
0.2
8/3/2010
TELEPHONE CONFERENCE WITH ATTY ROBERT BERGER, COUNSEL FOR GE, RE: CLAIM ISSUES
1239862 JLR 485.00 $97.00 0.2
8/3/2010
TELEPHONE CONFERENCE WITH SEAN O'BRIEN RE: CLAIM ISSUES
1239863 JLR 485.00 $97.00 0.2
8/3/2010
TELEPHONE CONFERENCE WITH ROBERT FROM DAMCO E: CLAIM ISSUES
1239864 JLR 485.00 $97.00
0.2
8/3/2010
TELEPHONE CONFERENCE WITH IVETTE, FORMER EMPLOYEE, RE: CLAIM ISSUES
1239865 JLR 485.00 $97.00 0.2
8/3/2010
ANALYSIS OF CORRESPONDENCE EMAIL FROM SAHAR REZAPOUR RE: CLAIM ISSUE
1249762 JLR 485.00 $48.50 0.1
8/3/2010
TELEPHONE CONFERENCE WITH LAURA CONTRERAS RE: CLAIM ISSUE
1249763 JLR 485.00 $48.50
0.1
8/3/2010
ANALYSIS OF CORRESPONDENCE RENE GUENTHART OF THE MINSON COMPANY RE: POST
PETITION RENT ISSUE
1249765 JLR 485.00 $48.50 0.1
8/3/2010
ANALYSIS OF LASERCYCLE IMAGING'S NOTICE OF MOTION AND MOTION FOR ORDER (1)
ALLOWING ADMINISTRATIVE CLAIM; AND (2) AUTHORIZING AND DIRECTING THE DEBTOR TO
PAY SUCH ADMINISTRATIVE CLAIM
1249774 JLR 485.00 $97.00 0.2
8/3/2010
ANALYSIS OF EMAILS RE SPECIALTY CLAIMS DISPUTE ISSUES
1246603 RB 585.00 $58.50
0.1
8/3/2010
ANALYSIS OF LASER CYCLE ADM CLAIM MOTION AND RELATED EMAILS
1246616 RB 585.00 $117.00 0.2
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/3/2010
PREP FOR MEETING AND MEETING (TELEPHONIC) WITH SPECIALTY AND CLIENT RE TRUE-UP
ISSUES
1239600 TMA 485.00 $242.50 0.5
8/3/2010
TELEPHONE CONFERENCE W/ CLIENT RE SPECIALTY CONTRACT AND TRUE-UP ISSUES
1239637 TMA 485.00 $97.00
0.2
8/3/2010
ANALYSIS OF LASERCYCLE ADMINISTRATIVE CLAIM
1239764 TMA 485.00 $97.00 0.2
8/3/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE LASERCYCLE ADMINISTRATIVE CLAIM
1239780 TMA 485.00 $48.50 0.1
8/4/2010
EMAILS WITH S. REZAPOUR AND OTHERS RE: CLAIM ISSUES
1249837 JLR 485.00 $97.00
0.2
8/4/2010
ANALYSIS OF PROOF OF CLAIM OF THE INTERNAL REVENUE SERVICE
1249852 JLR 485.00 $48.50 0.1
8/4/2010
ANALYSIS OF PROOF OF CLAIM OF BARTEL & EVANS LLP
1249916 JLR 485.00 $48.50 0.1
8/4/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT L. CONTRERAS RE: GRIFOLS CURE AMOUNTS
1240808 JPF 335.00 $33.50
0.1
8/4/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT M. PAKKALA RE: GRIFOLS CURE AMOUNTS
1240817 JPF 335.00 $33.50 0.1
8/4/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE CLAIMS DEADLINE AND RESPOND
1240253 TMA 485.00 $48.50 0.1
8/4/2010
TELEPHONE CONF. W/ CREDITORS MEDICAL CHEMICAL RE CLAIM AND FILING OF POC
1240353 TMA 485.00 $48.50
0.1
8/4/2010
PREPARATION OF CORRESPONDENCE TO MEDICAL CHEMICAL RE CLAIM AND FILING OF POC
1240354 TMA 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/5/2010
ANALYSIS OF PROOF OF CLAIM OF SCHICK RECORDS MGMT
1249921 JLR 485.00 $48.50 0.1
8/5/2010
ANALYSIS OF PROOF OF CLAIM OF SPRINT NEXTEL CORRESPONDENCE
1249928 JLR 485.00 $48.50
0.1
8/5/2010
ANALYSIS OF PROOF OF CLAIM OF THE KINGS COUNTY TAX COLLECTOR
1249930 JLR 485.00 $48.50 0.1
8/5/2010
ANALYSIS OF PROOF OF CLAIM OF DIANE BISSEGER
1249932 JLR 485.00 $48.50 0.1
8/5/2010
ANALYSIS OF PROOF OF CLAIM OF AMERIFLIGHT
1249933 JLR 485.00 $48.50
0.1
8/5/2010
ANALYSIS OF CORRESPONDENCE FROM OPPOSING COUNSEL AND DEPT OF FAIR EMPLOYMENT
AND HOUSING RE: CLAIMS BAR DATE
1241012 JPF 335.00 $33.50 0.1
8/5/2010
PREPARATION OF CORRESPONDENCE TO OPPOSING COUNSEL AND DEPT OF FAIR EMPLOYMENT
AND HOUSING RE: CLAIMS BAR DATE
1241017 JPF 335.00 $33.50 0.1
8/6/2010
PREPARATION OF TWO LETTERS TO CREDITORS ATTACHING A BLANK PROOF OF CLAIM AND
COURT FILING INSTRUCTIONS (J. HALVERSTON AND D. SUNDMAN)
1241571 LC 195.00 $78.00
0.4
8/9/2010
ANALYSIS OF PROOF OF CLAIM OF AMANDINA SANCHEZ
1249950 JLR 485.00 $48.50 0.1
8/9/2010
ANALYSIS OF PROOF OF CLAIM OF SAN BERNARDINO COUNTY
1250181 JLR 485.00 $48.50 0.1
8/9/2010
ANALYSIS OF LASER ADM CLAIM STIPULATION AND RELATED EMAILS
1246931 RB 585.00 $58.50
0.1
8/9/2010
ANALYSIS OF LASERCYCLE ADMINISTRATIVE RECLAMATION CLAIM
1242284 TMA 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/9/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE LASERCYCLE ADMINISTRATIVE
RECLAMATION CLAIM
1242285 TMA 485.00 $48.50 0.1
8/9/2010
PREPARATION OF STIPULATION AND ORDER RE LASERCYCLE ADMINISTRATIVE RECLAMATION
CLAIM
1242286 TMA 485.00 $194.00
0.4
8/9/2010
PREPARATION OF CORRESPONDENCE TO LASERCYCLE RE ADMINISTRATIVE RECLAMATION
CLAIM
1242287 TMA 485.00 $48.50 0.1
8/10/2010
ANALYSIS OF CORRESPONDENCE FROM SPECIALTY RE TRUE UP OF CLAIMS AND RESPOND
1242387 TMA 485.00 $48.50 0.1
8/11/2010
ANALYSIS OF STIPULATION BY WESTCLIFF MEDICAL LABORATORIES, INC. AND LASERCYCLE
IMAGING RE: ADMINISTRATIVE EXPENSE CLAIM
1250119 JLR 485.00 $48.50
0.1
8/11/2010
ANALYSIS OF PROOF OF CLAIM OF MAYO COLLABORATIVE SERVICES DBA MAYO MEDICAL
LABORATORIES
1250121 JLR 485.00 $48.50 0.1
8/11/2010
ANALYSIS OF PROOF OF CLAIM OF SOUTHERN CALIFORNIA EDISON COMPANY
1250122 JLR 485.00 $48.50 0.1
8/11/2010
ANALYSIS OF PROOF OF CLAIM OF MEDICAL CHEMICAL CORPORATION
1250134 JLR 485.00 $48.50
0.1
08/11/2010
PREPARATION OF THREE LETTERS TO CREDITORS ATTACHING A BLANK PROOF OF CLAIM AND
COURT FILING INSTRUCTIONS (LIMA BROWN, DESERT LOCK AND ACTION MEDIA)
1242693 LC 195.00 $117.00 0.6
8/11/2010
PREPARATION OF STIPULATION RESOLVING LASERCYCLE ADM CLAIM AND ORDER FOR E-
FILING/UPLOADING; PREPARATION OF SERVICE LISTS AND NOE
1242753 LC 195.00 $136.50 0.7
8/11/2010
ANALYSIS OF CORRESPONDENCE FROM LASERCYCLE RE SETTLEMENT OF ADMINISTRATIVE
CLAIM
1242641 TMA 485.00 $48.50
0.1
8/12/2010
ANALYSIS OF PROOF OF CLAIM OF MEDICAL CHEMICAL CORPORATION
1250210 JLR 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/12/2010
CALL AND EMAIL LUBIC RE CURE AMOUNTS
1243117 TMA 485.00 $48.50 0.1
8/13/2010
ANALYSIS OF PROOF OF CLAIM OF CLAIRE BARRERE
1250233 JLR 485.00 $48.50
0.1
8/13/2010
ANALYSIS OF TRANSFER OF CLAIM AGREEMENT
1250239 JLR 485.00 $48.50 0.1
8/13/2010
ANALYSIS OF PROOF OF CLAIM OF STERICYCLE
1250241 JLR 485.00 $48.50 0.1
8/13/2010
ANALYSIS OF PROOF OF CLAIM OF BARRY KIELMEIER
1250243 JLR 485.00 $48.50
0.1
8/13/2010
ANALYSIS OF CLAIM ASSIGNMENTS
1247133 RB 585.00 $58.50 0.1
8/13/2010
ANALYSIS OF WEG LETTER RE CREDITOR ISSUES
1247139 RB 585.00 $58.50 0.1
8/15/2010
ANALYSIS OF PROOF OF CLAIM OF LOS ANGELES COUNTY TREASURER & TAX COLLECTOR
1250266 JLR 485.00 $48.50
0.1
8/15/2010
ANALYSIS OF PROOF OF CLAIM OF BRONCO PROFESSIONAL PARK LLC
1250271 JLR 485.00 $48.50 0.1
8/17/2010
PREPARATION OF EMAIL TO JOYCE AT SPECTRUM TECHNOLOGIES RE FILING PROOF OF CLAIM;
PHONE CALL RE SAME
1244672 JK 195.00 $39.00 0.2
8/17/2010
ANALYSIS OF CLAIM TRANSFERS
1247223 RB 585.00 $58.50
0.1
8/18/2010
ANALYSIS OF PROOF OF CLAIM OF ALAMEDA COUNTY TAX COLLECTOR
1250300 JLR 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/18/2010
TELEPHONE CONFERENCE W/ CLIENT RE OMNIBUS REPLY TO OBJECTIONS RE CURE AMOUNTS
AND ADEQUATE ASSURANCE
1245283 TMA 485.00 $48.50 0.1
8/18/2010
PREPARATION OF OMNIBUS REPLY TO OBJECTIONS RE CURE AMOUNTS AND ADEQUATE
ASSURANCE
1245286 TMA 485.00 $291.00
0.6
8/18/2010
EMAIL EXCHANGE WITH LUBIC RE DECLARATION ON OMNIBUS REPLY TO OBJECTIONS RE CURE
AMOUNTS AND ADEQUATE ASSURANCE
1245287 TMA 485.00 $48.50 0.1
8/19/2010
TELEPHONE CALL WITH CREDITOR ELPIDIO MANALANG, RETURN HIS ORIGINAL PROOF OF
CLAIM WITH PROPER FILING INSTRUCTIONS WITH THE COURT
1245477 LC 195.00 $39.00 0.2
8/20/2010
ANALYSIS OF PROOF OF CLAIM OF AMERICAN EXPRESS TRAVEL RELATED SERVICES
1250431 JLR 485.00 $48.50
0.1
8/20/2010
ANALYSIS OF PROOF OF CLAIM OF INDEPENDENT COURIER, INC.
1250433 JLR 485.00 $48.50 0.1
8/20/2010
ANALYSIS OF EMAILS RE SPECIALTY ISSUES
1247525 RB 585.00 $58.50 0.1
8/23/2010
ANALYSIS OF PROOF OF CLAIM OF DENNIS SUNDMAN
1250434 JLR 485.00 $48.50
0.1
8/23/2010
ANALYSIS OF PROOF OF CLAIM OF FRESNO COUNTY TAX COLLECTOR
1250563 JLR 485.00 $48.50 0.1
8/23/2010
ANALYSIS OF PROOF OF CLAIM OF H20 BLACKFLOW SERVICE
1250564 JLR 485.00 $48.50 0.1
8/23/2010
ANALYSIS OF PROOF OF CLAIM OF RIVERSIDE COUNTY TAX COLLECTOR
1250565 JLR 485.00 $48.50
0.1
8/23/2010
ANALYSIS OF PROOF OF CLAIM OF MCKESSON TECHNOLOGIES INC
1250566 JLR 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/23/2010
ANALYSIS OF PROOF OF CLAIM OF ANGELA WOOD
1250572 JLR 485.00 $48.50 0.1
8/24/2010
ANALYSIS OF ENTERED ORDER GRANTING STIPULATION RESOLVING LASERCYCLE IMAGING'S
MOTION FOR ORDER 1) ALLOWING ADMINISTRATIVE CLAIM; AND 2) AUTHORIZING AND
DIRECTING THE DEBTOR TO PAY SUCH ADMINISTRATIVE CLAIM
1250597 JLR 485.00 $48.50
0.1
8/24/2010
ANALYSIS OF NOTICE OF RESERVATION OF RIGHTS OF MTS HEALTH PARTNERS, L.P. REGARDING
INDEMNIFIED OBLIGATIONS
1250600 JLR 485.00 $48.50 0.1
8/24/2010
ANALYSIS OF EMAILS RE SPECIALTY DISPUTE
1250357 RB 585.00 $58.50 0.1
8/24/2010
ANALYSIS OF ORDER GRANTING ADM CLAIMS
1250359 RB 585.00 $58.50
0.1
8/24/2010
ANALYSIS OF CURE DISPUTES WITH BECKMAN
1250378 RB 585.00 $58.50 0.1
8/25/2010
ANALYSIS OF PROOF OF CLAIM OF RIVERSIDE COUNTY TAX COLLECTOR
1250619 JLR 485.00 $48.50 0.1
8/25/2010
ANALYSIS OF PROOF OF CLAIM OF AT&T
1250620 JLR 485.00 $48.50
0.1
8/26/2010
ANALYSIS OF MULTIPLE EMAILS AND DOCUMENTS RE LASERCYCLE ADM CLAIMS
1250453 RB 585.00 $58.50 0.1
8/26/2010
ANALYSIS OF MTS RESERVATION OF RIGHTS RE FEES AND COSTS RE FTC ACTION
1248077 TMA 485.00 $48.50 0.1
8/26/2010
ANALYSIS OF ORDER RESOLVING LASERCYCLE ADMINISTRATIVE CLAIM
1248079 TMA 485.00 $48.50
0.1
8/26/2010
PREPARATION OF CORRESPONDENCE TO CLAIMANT AND CLIENT RE PAYMENT OF LASERCYCLE
ADMINISTRATIVE CLAIM
1248080 TMA 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/26/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE PRE-PETITION CLAIMS THAT SHOULD BE
COVERED BY INSURANCE AND RESPOND
1248254 TMA 485.00 $48.50 0.1
8/26/2010
ANALYSIS OF DOCUMENTATION AND EMAIL FROM SPECIALTY RE TRUE UP PAYMENT.
1248256 TMA 485.00 $48.50
0.1
8/27/2010
ANALYSIS OF PROOF OF CLAIM OF MICHELLE HASSAN
1250642 JLR 485.00 $48.50 0.1
09/01/2010
ANALYSIS OF EMAIL CORRESPONDENCE WITH CREDITOR PHADIA
1255019 RB 585.00 $58.50 0.1
9/2/2010
ANALYSIS OF NOTICE OF MOTION AND DEBTORS MOTION TO APPROVE SETTLEMENT
AGREEMENT BETWEEN WESTCLIFF MEDICAL LABORATORIES, INC. AND PHYLLIS RIPLEY;
1251739 JLR 485.00 $48.50
0.1
9/2/2010
ANALYSIS OF DECLARATION OF BRENDA RILEY IN SUPPORT OF DEPARTMENT OF HEALTH CARE
SERVICES' PROOF OF CLAIM
1251746 JLR 485.00 $48.50 0.1
9/2/2010
ANALYSIS OF GOOGLE NOTICE OF APPEARANCE AND RSN
1255204 RB 585.00 $58.50 0.1
9/2/2010
ANALYSIS OF DHCS CLAIM AND DECLARATION
1255214 RB 585.00 $58.50
0.1
9/3/2010
ANALYSIS OF PROOF OF CLAIM OF LASERCYCLE USA, INC
1251769 JLR 485.00 $48.50 0.1
9/7/2010
ANALYSIS OF PROOF OF CLAIM OF RIVERSIDE CLAIMS LLC AS ASSIGNEE FOR ALPHA SCIENTIFIC
MEDICAL, INC.
1252572 JK 195.00 $39.00 0.2
9/7/2010
TELEPHONE CONFERENCE WITH MATT RE SPECIALTY CLAIM DISPUTE
1255344 RB 585.00 $175.50
0.3
9/7/2010
PREPARATION OF EMAIL EXCHANGE RE SPECIALTY DISPUTE
1255354 RB 585.00 $117.00 0.2
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/7/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE PROPOSED SETTLEMENT WITH SPECIALTY
AND RESPOND
1252302 TMA 485.00 $48.50 0.1
9/7/2010
TELEPHONE CONFERENCE WITH CLIENT RE SPECIALTY CLAIM ISSUES
1252541 TMA 485.00 $145.50
0.3
9/8/2010
ANALYSIS OF PROOF OF CLAIM OF THEODORE PALMER
1261111 JLR 485.00 $48.50 0.1
9/8/2010
ANALYSIS OF PROOF OF CLAIM OF DENISE DIGIACOMO
1261112 JLR 485.00 $48.50 0.1
9/9/2010
ANALYSIS OF PROOF OF CLAIM OF KATHERINE FULLMER
1261118 JLR 485.00 $48.50
0.1
9/9/2010
ANALYSIS OF CORRESPONDENCE FROM BANK OF MELLON COUNSEL RE ALLEGED SET OFF AND
POST-PETITION CLAIM
1253311 TMA 485.00 $97.00 0.2
9/9/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT (MULTI) RE BNY CLAIMS AND RESOLUTION OF
SAME AND RESPOND
1253312 TMA 485.00 $145.50 0.3
9/9/2010
EMAILS RE NEW WELLS FARGO ACCOUNTS
1266826 TMA 485.00 $97.00
0.2
9/9/2010
ANALYSIS OF CORRESPONDENCE FROM SECURED CREDITOR COUNSEL AND CLIENT RE
SETTLEMENT OF MANAGEMENT CLAIMS AND RESPOND
1266830 TMA 485.00 $48.50 0.1
9/10/2010
ANALYSIS OF PROOF OF CLAIM OF DUMAS AND ASSOCATES
1261206 JLR 485.00 $48.50 0.1
9/10/2010
ANALYSIS OF PROOF OF CLAIM OF CHRISTY MOSHENKO
1261211 JLR 485.00 $48.50
0.1
9/10/2010
ANALYSIS OF PROOF OF CLAIM OF BRIAN TROSECO
1261213 JLR 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/10/2010
TELEPHONE CONFERENCE WITH LUPE GOMEZ RE: FFCI KUBOTA ISSUE
1261241 JLR 485.00 $97.00 0.2
9/10/2010
ANALYSIS OF MULTIPLE EMAIL EXCHANGES AND DOCUMENTS RE: SPECIALTY CLAIMS AND
PREPARATION OF EMAIL SUMMARY TO CLIENT
1257704 RB 585.00 $585.00
1.0
9/13/2010
ANALYSIS OF PROOF OF CLAIM OF RUSSEL INDAR CHANDAROO
1261272 JLR 485.00 $48.50 0.1
9/13/2010
ANALYSIS OF EMAILS RE BNY CLAIM DISPUTE
1257732 RB 585.00 $58.50 0.1
9/13/2010
TELEPHONE CONFERENCE W/ CLIENT RE BANK OF MELLON CLAIM AND OPERATIONAL ISSUES
1253957 TMA 485.00 $145.50
0.3
9/13/2010
PREPARATION OF CORRESPONDENCE TO BANK OF MELLON COUNSEL RE CLAIM AND
OPERATIONAL ISSUES
1254106 TMA 485.00 $97.00 0.2
9/14/2010
ANALYSIS OF PROOF OF CLAIM OF IRS
1261313 JLR 485.00 $48.50 0.1
9/14/2010
EMAILS WITH RENEE HEYMAN AND OTHERS RE: CLAIM ISSUE
1261315 JLR 485.00 $48.50
0.1
9/14/2010
ANALYSIS OF PROOF OF CLAIM OF GRIFOLS USA
1261338 JLR 485.00 $48.50 0.1
9/14/2010
TELEPHONE CONF. W/ OPP COUNSEL D. TILEM, COUNSEL FOR UNSECURED CREDITOR RE:
PERSONAL INJURY CLAIMS ON SCHEDULE
1254660 JPF 335.00 $33.50 0.1
9/14/2010
PREPARATION OF EMAIL EXCHANGE RE: CLAIMS OBJECTIONS MATTERS
1257816 RB 585.00 $58.50
0.1
9/14/2010
ANALYSIS OF CORRESPONDENCE FROM AFCO RE AMOUNTS DUE ON PREMIUM FINANCING
AGREEMENTS AND EMAIL CLIENT RE SAME
1254259 TMA 485.00 $145.50 0.3
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8/1/2010
11/30/2010 To Date
From Date
9/15/2010
ANALYSIS OF PROOF OF CLAIM OF CAMBRIDGE HEALTHCARE
1261351 JLR 485.00 $48.50 0.1
9/15/2010
ANALYSIS OF EMAIL EXCHANGE RE INTERLINKS CLAIM
1254740 TMA 485.00 $48.50
0.1
9/15/2010
TELEPHONE CONFERENCE WITH PACIFIC MAINTENANCE RE CLAIM
1254860 TMA 485.00 $48.50 0.1
9/16/2010
ANALYSIS OF PROOF OF CLAIM FILED BY BANK OF NEW YORK MELLON
1261367 JLR 485.00 $97.00 0.2
9/16/2010
ANALYSIS OF PROOF OF CLAIM OF HOLOGIC, INC.
1261370 JLR 485.00 $48.50
0.1
9/16/2010
ANALYSIS OF PROOF OF CLAIM OF ROUCH DIAGNOSTICS
1261372 JLR 485.00 $48.50 0.1
9/16/2010
PREPARATION OF MULTIPLE EMAIL EXCHANGE RE: CLAIMS OBJECTIONS ISSUES
1257988 RB 585.00 $117.00 0.2
9/16/2010
PREPARATION OF EMAIL EXCHANGE RE CLAIMS ANALYSIS AND OBJECTIONS
1255166 TMA 485.00 $97.00
0.2
9/16/2010
ANALYSIS OF BANK OF MELLON CLAIM
1255169 TMA 485.00 $48.50 0.1
9/17/2010
ANALYSIS OF CLAIMS FILED
1256005 GDL 335.00 $770.50 2.3
9/17/2010
PREPARATION OF CLAIMS CHART
1256008 GDL 335.00 $301.50
0.9
9/17/2010
PREPARATION OF CLAIMS REGISTER; IMPORT SCHEDULE D, E AND F FROM BIOLABS AND
WESTCLIFF; VERIFY CLAIM AMOUNTS
1255843 JK 195.00 $507.00 2.6
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8/1/2010
11/30/2010 To Date
From Date
9/17/2010
ANALYSIS OF PROOF OF CLAIM OF SPECIALTY LABORATORIES
1261378 JLR 485.00 $48.50 0.1
9/17/2010
ANALYSIS OF DECLARATION OF JOHN-PATRICK M. FRITZ RE: RECEIPT OF NEITHER OPPOSITION
TO NOR REQUEST FOR HEARING ON DEBTORS MOTION TO APPROVE SETTLEMENT AGREEMENT
BETWEEN WESTCLIFF MEDICAL LABORATORIES, INC. AND PHYLLIS RIPLEY
1261382 JLR 485.00 $48.50
0.1
9/17/2010
ANALYSIS OF ALPHA SCIENTIFIC/RIVERSIDE CLAIM LLC AMENDED PROOF OF CLAIM
1256033 JPF 335.00 $33.50 0.1
9/18/2010
PREPARATION OF EMAIL EXCHANGE RE CLAIM DISPUTES
1258248 RB 585.00 $58.50 0.1
9/20/2010
ANALYSIS OF DOCUMENTS CLAIMS FILED
1257467 GDL 335.00 $1,105.50
3.3
9/20/2010
PREPARATION OF CLAIMS CHART
1257468 GDL 335.00 $368.50 1.1
9/21/2010
ANALYSIS OF DOCUMENTS CLAIMS FILED
1257475 GDL 335.00 $1,775.50 5.3
9/21/2010
PREPARATION OF CLAIMS CHART
1257477 GDL 335.00 $469.00
1.4
9/21/2010
CONFERENCE REGARDING CLAIMS ISSUES
1257495 GDL 335.00 $100.50 0.3
9/21/2010
ANALYSIS OF PROOF OF CLAIM OF STATE OF CALIFORNIA DEPT OF HEALTH CARE
1261415 JLR 485.00 $48.50 0.1
9/21/2010
ANALYSIS OF PROOF OF CLAIM OF ENVIROSOLVE, INC.
1261416 JLR 485.00 $48.50
0.1
9/21/2010
ANALYSIS OF PROOF OF CLAIM OF RAY DERI
1261417 JLR 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/21/2010
ANALYSIS OF PROOF OF CLAIM OF VERIZON
1261418 JLR 485.00 $48.50 0.1
9/21/2010
ANALYSIS OF PROOF OF CLAIM OF VERIZON WIRELESS
1261419 JLR 485.00 $48.50
0.1
9/21/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE CLAIMS BAR DATE AND RELATED ISSUES
AND RESPOND
1256973 TMA 485.00 $97.00 0.2
9/21/2010
PREPARE CLAIMS ANALYSIS CHART
1256975 TMA 485.00 $339.50 0.7
9/21/2010
ANALYSIS OF INCENTIVE COMPENSATION PAYMENT AGREEMENT
1256983 TMA 485.00 $145.50
0.3
9/21/2010
ANALYSIS OF CORRESPONDENCE RE INCENTICE PAYMENT DEAL WITH GE AND RESPOND
1256984 TMA 485.00 $48.50 0.1
9/22/2010
ANALYSIS OF DOCUMENTS CLAIMS FILED
1257489 GDL 335.00 $1,708.50 5.1
9/22/2010
PREPARATION OF CLAIMS CHART
1257490 GDL 335.00 $402.00
1.2
9/22/2010
CONFERENCE REGARDING CLAIMS ISSUES
1257494 GDL 335.00 $134.00 0.4
09/22/2010
PREPARATION OF EMAIL CORRESPONDENCE TO AMBER (MATTSON RESOURCES), ENCLOSING
PER HER REQUEST, NOTICE OF BAR DATE, PROOF OF CLAIM AND FILING INSTRUCTIONS
1257426 LC 195.00 $39.00 0.2
9/22/2010
PREPARATION OF MISSION HOSPITAL CLAIM STIPULATION AND RELATED EMAIL EXCHANGE;
ANALYSIS OF CHANGES
1260713 RB 585.00 $175.50
0.3
9/23/2010
CONFERENCE REGARDING CLAIMS ISSUES
1257493 GDL 335.00 $100.50 0.3
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/23/2010
ANALYSIS OF DOCUMENTS CLAIMS FILED
1260244 GDL 335.00 $1,407.00 4.2
9/23/2010
PREPARATION OF CLAIMS CHART
1260245 GDL 335.00 $703.50
2.1
9/23/2010
ANALYSIS OF DOCUMENTS ATTENTION TO CLAIMS TRANSFERS
1260246 GDL 335.00 $167.50 0.5
9/23/2010
ANALYSIS OF MULTIPLE EMAILS RE: CONTRACTS AND LEASE ISSUES AND DAMAGE CLAIMS
1260749 RB 585.00 $117.00 0.2
9/23/2010
ANALYSIS OF CLAIM ASSIGNMENTS
1260750 RB 585.00 $117.00
0.2
9/23/2010
ANALYSIS OF MULTIPLE NOTICES OF CLAIM ASSIGNMENTS TO RIVERSIDE CLAIMS LLC
1257411 TMA 485.00 $97.00 0.2
9/23/2010
ANALYSIS OF CORRESPONDENCE FROM MISSION RE STIPULATION ON CURE AMOUNT AND
ADEQUATE ASSURANCE
1257430 TMA 485.00 $48.50 0.1
9/23/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE BECKMAN CURE AMOUNTS
1257635 TMA 485.00 $48.50
0.1
9/23/2010
PREPARATION OF CORRESPONDENCE TO BECKMAN RE PROPOSED STIPULATION RE CURE
AMOUNTS
1257636 TMA 485.00 $97.00 0.2
9/23/2010
ANALYSIS OF CORRESPONDENCE FROM AFCO COUNSEL RE STIPULATION RESOLVING CLAIM
ISSUES
1257659 TMA 485.00 $48.50 0.1
9/24/2010
ANALYSIS OF DOCUMENTS CLAIMS FILED
1260254 GDL 335.00 $335.00
1.0
9/24/2010
ANALYSIS OF NOTICE OF TRANSFER OF CLAIM 68
1261527 JLR 485.00 $48.50 0.1
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8/1/2010
11/30/2010 To Date
From Date
9/24/2010
ANALYSIS OF PROOF OF CLAIM OF WEST COAST CARPET CARE
1261529 JLR 485.00 $48.50 0.1
9/24/2010
ANALYSIS OF PROOF OF CLAIM OF ELPIDIO MANALANG
1261532 JLR 485.00 $48.50
0.1
9/24/2010
ANALYSIS OF NOTICE OF TRANSFER OF CLAIM 34
1261535 JLR 485.00 $48.50 0.1
9/24/2010
ANALYSIS OF NOTICE OF TRANSFER OF CLAIM 101
1261536 JLR 485.00 $48.50 0.1
9/24/2010
ANALYSIS OF PROOF OF CLAIM OF GOOGLE, INC.
1261537 JLR 485.00 $48.50
0.1
9/24/2010
ANALYSIS OF NOTICE OF TRANSFER OF CLAIM 130
1261538 JLR 485.00 $48.50 0.1
9/24/2010
ANALYSIS OF PROOF OF CLAIM OF C&D REFRIGERATION, INC.
1261542 JLR 485.00 $48.50 0.1
9/25/2010
REVIEW VARIOUS TRANSFER OF CLAIM CERTIFICATES
1261548 JLR 485.00 $97.00
0.2
9/25/2010
ANALYSIS OF MULTIPLE CLAIM TRANSFERS
1260792 RB 585.00 $117.00 0.2
9/27/2010
PREPARATION OF DOCUMENTS UPDATE CLAIMS CHART AND ANALYZE CLAIM ALLOWANCE
1260262 GDL 335.00 $402.00 1.2
9/27/2010
TELEPHONE CONFERENCE WITH AMBER AT MATSON RESOURCES RE THEIR PROOF OF CLAIM
1258742 JK 195.00 $19.50
0.1
9/27/2010
ANALYSIS OF ORDER GRANTING MOTION TO APPROVE SETTLEMENT AGREEMENT BETWEEN
WESTCLIFF MEDICAL LABORATORIES, INC. AND PHYLLIS RIPLEY
1261562 JLR 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/27/2010
ANALYSIS OF EMAILS RE: POSSIBLE RESOLUTION OF BNY DISPUTE
1260836 RB 585.00 $58.50 0.1
9/27/2010
PREPARATION OF EMAIL EXCHANGE RE: CLAIMS ANALYSIS AND OBJECTIONS
1260845 RB 585.00 $117.00
0.2
9/27/2010
ANALYSIS OF ORDER APPROVING RIPLEY SETTLEMENT
1258697 TMA 485.00 $48.50 0.1
9/27/2010
ANALYSIS OF CORRESPONDENCE FROM OPP COUNSEL FOR BECKMAN RE STIPULATION
RESOLVING CURE CLAIM AND RESPOND
1258722 TMA 485.00 $48.50 0.1
9/27/2010
PREPARATION OF REVISED STIP AND ORDER RESOLVING BECKMAN CURE CLAIM
1258726 TMA 485.00 $48.50
0.1
9/28/2010
ANALYSIS OF DOCUMENTS REGARDING CLAIMS TRANSFERS
1260272 GDL 335.00 $268.00 0.8
9/28/2010
PREPARATION OF CLAIMS CHART
1260273 GDL 335.00 $234.50 0.7
9/28/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE EMPLOYEE INCENTIVE COMPENSATION
SETTLEMENT
1258938 TMA 485.00 $48.50
0.1
9/28/2010
ANALYSIS OF CORRESPONDENCE FROM AFCO COUNSEL RE INSURANCE FINANCING
SETTLEMENT AND RESPOND
1258944 TMA 485.00 $97.00 0.2
9/28/2010
REVIEW AND REVISE AFCO MOTION TO APPROVE CLAIM STIPULATION
1258945 TMA 485.00 $242.50 0.5
9/28/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE AFCO CLAIM STIPULATION
1258946 TMA 485.00 $48.50
0.1
9/29/2010
ANALYSIS OF PROOF OF CLAIM OF THE SAN FRANCISCO TAX COLLECTOR
1261578 JLR 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/29/2010
PREPARATION OF STIPULATION RESOLVING BECKMAN CURE AMOUNTS AND ORDER FOR E-
FILING/UPLOADING; PREPARATION OF SERVICE LISTS, NOE AND COPIES TO CHAMBERS
1259919 LC 195.00 $117.00 0.6
9/29/2010
ANALYSIS OF LEASE CLAIM STIPULATION
1260932 RB 585.00 $58.50
0.1
9/30/2010
ANALYSIS OF PROOF OF CLAIM OF RIVERSIDE CLAIMS LLC
1261592 JLR 485.00 $48.50 0.1
9/30/2010
ANALYSIS OF STIPULATION BY AFCO ACCEPTANCE CORPORATION AND DEBTORS 1) RE
PAYMENT OF FINANCED INSURANCE PREMIUMS AND FOR IMMEDIATE RELIEF FROM STAY IN
THE EVENT OF NON-PAYMENT AS TO WORKERS COMPENSATION INSURANCE; 2) RELIEF FROM
1261593 JLR 485.00 $48.50 0.1
9/30/2010
ANALYSIS OF PROOF OF CLAIM OF ADONIS SALAZAR
1261594 JLR 485.00 $48.50
0.1
9/30/2010
ANALYSIS OF PROOF OF CLAIM OF GRACE BAEK
1261595 JLR 485.00 $48.50 0.1
9/30/2010
ANALYSIS OF PROOF OF CLAIM OF CHIAVATTI LLC
1261596 JLR 485.00 $48.50 0.1
9/30/2010
ANALYSIS OF PROOF OF CLAIM OF SIMPLIEX GRINNELL
1261597 JLR 485.00 $48.50
0.1
9/30/2010
ANALYSIS OF PROOF OF CLAIM OF QUIAGEN INC.
1261598 JLR 485.00 $48.50 0.1
10/1/2010
ANALYSIS OF CLAIMS FILED
1264263 GDL 335.00 $536.00 1.6
10/1/2010
PREPARATION OF CLAIMS CHART
1264264 GDL 335.00 $502.50
1.5
10/1/2010
ANALYSIS OF PROOF OF CLAIM OF SIMPLEXGRINNELL
1270814 JLR 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/1/2010
ANALYSIS OF PROOF OF CLAIM OF QIAGEN, INC.
1270815 JLR 485.00 $48.50 0.1
10/1/2010
ANALYSIS OF PROOF OF CLAIM OF MICHAEL SKINNER
1270837 JLR 485.00 $48.50
0.1
10/1/2010
ANALYSIS OF PROOF OF CLAIM OF DR. GREGORY CLARK
1270838 JLR 485.00 $48.50 0.1
10/1/2010
ANALYSIS OF PROOF OF CLAIM OF PAULA PHILLIPS
1270841 JLR 485.00 $48.50 0.1
10/1/2010
ANALYSIS OF PROOF OF CLAIM OF ROBERT WHALEN
1270843 JLR 485.00 $48.50
0.1
10/1/2010
ANALYSIS OF PROOF OF CLAIM OF CALLAHAN & BLAINE
1270847 JLR 485.00 $48.50 0.1
10/1/2010
ANALYSIS OF PROOF OF CLAIM OF NEWPORT LIDO MEDICAL CENTER
1270898 JLR 485.00 $48.50 0.1
10/1/2010
ANALYSIS OF SECOND PROOF OF CLAIM OF ROBERT WHALEN
1270899 JLR 485.00 $97.00
0.2
10/1/2010
ANALYSIS OF MISSION HOSPITAL STIPULATION
1267412 RB 585.00 $58.50 0.1
10/1/2010
ANALYSIS OF NOTICE OF MOTION AND MOTION TO APPROVE STIPULATION RESOLVING AFCO
CLAIMS
1260477 TMA 485.00 $97.00 0.2
10/1/2010
EMAILS WITH CLIENT RE SETTLEMENT WITH BNY
1260483 TMA 485.00 $48.50
0.1
10/1/2010
PREPARATION OF CORRESPONDENCE TO BNY RE PROPOSED SETTLEMENT
1260484 TMA 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/1/2010
ANALYSIS OF CORRESPONDENCE FROM MISSION RE STIPULATION RESOLVING CURE AND
ADEQUATE PROTECTION ISSUES
1260487 TMA 485.00 $48.50 0.1
10/1/2010
FINALIZE STIPULATION RESOLVING MISSION CURE AND ADEQUATE PROTECTION ISSUES
1260488 TMA 485.00 $48.50
0.1
10/3/2010
EMAILS RE: CLAIM OBJECTION ISSUES
1270922 JLR 485.00 $48.50 0.1
10/4/2010
ANALYSIS OF CLAIMS FILED
1264267 GDL 335.00 $737.00 2.2
10/4/2010
PREPARATION OF CLAIMS CHART
1264268 GDL 335.00 $603.00
1.8
10/4/2010
EMAILS RE: CLAIM OBJECTION ISSUES
1270945 JLR 485.00 $97.00 0.2
10/4/2010
ANALYSIS OF PROOF OF CLAIM OF OFFICE SOLUTIONS INC.
1272046 JLR 485.00 $48.50 0.1
10/4/2010
ANALYSIS OF PROOF OF CLAIM OF AERO-MED LTD.
1272048 JLR 485.00 $48.50
0.1
10/4/2010
ANALYSIS OF ENTERED ORDER RE: STIPULATION RESOLVING MISSION HOSPITAL'S LIMITED
OBJECTION TO DEBTORS' MOTION FOR ORDER: (1) APPROVING SALE OF SUBSTANTIALLY ALL OF
THE DEBTORS' ASSETS ET AL.
1272051 JLR 485.00 $48.50 0.1
10/4/2010
ANALYSIS OF MISSION HOSPITAL SETTLEMENT ORDER
1267532 RB 585.00 $58.50 0.1
10/4/2010
ANALYSIS OF CORRESPONDENCE RE CLAIMS ANALYSIS AND OBJECTIONS
1261623 TMA 485.00 $48.50
0.1
10/4/2010
PREPARATION OF STIPULATION RESOLVING BNY CLAIMS AND ISSUES
1261751 TMA 485.00 $727.50 1.5
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/4/2010
PREPARATION OF CORRESPONDENCE TO BNY RE STIPULATION RESOLVING CLAIMS AND ISSUES
1261752 TMA 485.00 $48.50 0.1
10/5/2010
ANALYSIS OF PROOF OF CLAIM OF JIM WRIGHT HEATING AND AIR CONDITIONING
1272166 JLR 485.00 $48.50
0.1
10/5/2010
ANALYSIS OF PROOF OF CLAIM OF PETER JENSCH
1272168 JLR 485.00 $48.50 0.1
10/5/2010
ANALYSIS OF PROOF OF CLAIM OF GOOGLE, INC.
1272172 JLR 485.00 $48.50 0.1
10/5/2010
ANALYSIS OF PROOF OF CLAIM OF ACE AMERICAN INSURANCE COMPANY
1272177 JLR 485.00 $48.50
0.1
10/5/2010
ANALYSIS OF PROOF OF CLAIM OF FISHER SCIENTIC CO LLC
1272178 JLR 485.00 $48.50 0.1
10/5/2010
ANALYSIS OF PROOF OF CLAIM OF LEONEL CRUZ
1272179 JLR 485.00 $48.50 0.1
10/5/2010
ANALYSIS OF PROOF OF CLAIM OF KENNETH JOHN MCGRORY
1272181 JLR 485.00 $48.50
0.1
10/5/2010
ANALYSIS OF 2ND PROOF OF CLAIM OF ACE AMERICAN INSURANCE COMPANY
1272182 JLR 485.00 $48.50 0.1
10/5/2010
ANALYSIS OF PROOF OF CLAIM OF CONTINENTAL SKYPARK LLC
1272183 JLR 485.00 $48.50 0.1
10/5/2010
ANALYSIS OF PROOF OF CLAIM OF PACIFIC MAINTENANCE
1272184 JLR 485.00 $48.50
0.1
10/5/2010
ANALYSIS OF PROOF OF CLAIM OF POTTER ANDERSON & CORROON LLP
1272200 JLR 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/5/2010
ANALYSIS OF PROOF OF CLAIM OF RICK STODDARD
1272202 JLR 485.00 $48.50 0.1
10/5/2010
ANALYSIS OF PROOF OF CLAIM OF DIASORIN INC
1272203 JLR 485.00 $48.50
0.1
10/5/2010
ANALYSIS OF PROOF OF CLAIM OF EZEKIEL TALI
1272204 JLR 485.00 $48.50 0.1
10/5/2010
ANALYSIS OF PROOF OF CLAIM OF BATAVIA WOODS MEDICAL CENTER
1272205 JLR 485.00 $48.50 0.1
10/5/2010
ANALYSIS OF PROOF OF CLAIM OF CLAIRE OAKES
1272206 JLR 485.00 $48.50
0.1
10/5/2010
ANALYSIS OF PROOF OF CLAIM OF HEALTH NET
1272207 JLR 485.00 $48.50 0.1
10/6/2010
ANALYSIS OF PROOF OF CLAIM OF JOHN WALLER
1272229 JLR 485.00 $48.50 0.1
10/6/2010
ANALYSIS OF PROOF OF CLAIM OF VENTURA COUNTY TAX COLLECTOR
1272242 JLR 485.00 $48.50
0.1
10/6/2010
ANALYSIS OF PROOF OF CLAIM OF SIEMENS HEALTHCARE DIAGNOSTICS
1272261 JLR 485.00 $48.50 0.1
10/6/2010
ANALYSIS OF 2ND PROOF OF CLAIM OF SIEMENS HEALTHCARE DIAGNOSTICS
1272262 JLR 485.00 $48.50 0.1
10/6/2010
ANALYSIS OF PROOF OF CLAIM OF RECY HERNANDEZ
1272263 JLR 485.00 $48.50
0.1
10/6/2010
ANALYSIS OF 2ND PROOF OF CLAIM OF LEONEL CRUZ
1272264 JLR 485.00 $48.50 0.1
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8/1/2010
11/30/2010 To Date
From Date
10/6/2010
ANALYSIS OF PROOF OF CLAIM OF PETER COUKOULIS
1272265 JLR 485.00 $48.50 0.1
10/6/2010
ANALYSIS OF 1ST PROOF OF CLAIM OF LEONEL CRUZ
1272267 JLR 485.00 $48.50
0.1
10/6/2010
ANALYSIS OF PROOF OF CLAIM OF WCS RESTORATION
1272268 JLR 485.00 $48.50 0.1
10/6/2010
ANALYSIS OF PROOF OF CLAIM OF BECTON DICKINSON AND COMPANY
1272270 JLR 485.00 $48.50 0.1
10/6/2010
ANALYSIS OF 2ND PROOF OF CLAIM OF BECTON DICKINSON AND COMPANY
1272271 JLR 485.00 $48.50
0.1
10/6/2010
ANALYSIS OF PROOF OF CLAIM OF GRIFOULS USA LLC
1272272 JLR 485.00 $48.50 0.1
10/6/2010
ANALYSIS OF PROOF OF CLAIM OF
1272273 JLR 485.00 $48.50 0.1
10/6/2010
ANALYSIS OF PROOFS OF CLAIM AND PREPARATION OF EMAIL EXCHANGE RE OBJECTIONS
1267671 RB 585.00 $175.50
0.3
10/7/2010
PREPARATION OF COMPACT DISK CONTAINING PROOFS OF CLAIMS OF BIOLABS AND WESTCLIFF
1263538 JK 195.00 $78.00 0.4
10/7/2010
ANALYSIS OF CLAIMS AND PREPARATION OF EMAIL EXCHANGE WITH CLAIMS OBJECTION
1267707 RB 585.00 $117.00 0.2
10/7/2010
ANALYSIS OF BNY CLAIM STIPULATION AND RELATED EMAILS
1267716 RB 585.00 $117.00
0.2
10/7/2010
PREPARATION OF MOTION TO APPROVE SETTLEMENT OF INCENTIVE PAYMENT CLAIMS
1263368 TMA 485.00 $1,164.00 2.4
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/7/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE MOTION TO APPROVE SETTLEMENT OF
INCENTIVE PAYMENT CLAIMS
1263377 TMA 485.00 $48.50 0.1
10/7/2010
ANALYSIS OF CORRESPONDENCE FROM BANK OF MELLON RE STIPULATION RESOLVING CLAIMS
AND RESPOND
1263387 TMA 485.00 $48.50
0.1
10/7/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE STIPULATION RESOLVING BANK OF MELLON
CLAIMS
1263388 TMA 485.00 $48.50 0.1
10/7/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE SETTLEMENT OF BNY CLAIMS AND RESPOND
1263548 TMA 485.00 $48.50 0.1
10/8/2010
ANALYSIS OF CLAIMS FILED
1264321 GDL 335.00 $871.00
2.6
10/8/2010
PREPARATION OF CLAIMS CHART, FINALIZE
1264322 GDL 335.00 $770.50 2.3
10/8/2010
ANALYSIS OF CLAIMS CHART AND PREPARATION OF RELATED EMAIL EXCHANGE
1268042 RB 585.00 $292.50 0.5
10/10/2010
ANALYSIS OF CLAIMS CHART AND PREPARATION OF RELATED EMAILS EXCHANGE
1268057 RB 585.00 $234.00
0.4
10/11/2010
CONFERENCE W/ OFFICE ATTORNEY REGARDING CLAIM CHART
1269710 GDL 335.00 $167.50 0.5
10/11/2010
PREPARATION OF CORRESPONDENCE REGARDING CLAIMS OBJECTIONS
1269732 GDL 335.00 $100.50 0.3
10/11/2010
PREPARATION OF CLAIMS CHART
1269733 GDL 335.00 $1,038.50
3.1
10/11/2010
FORMAT EXCEL CHARTS FOR PRINTING (WESTCLIFF AND BIOLABS CLAIMS REGISTERS)
1264563 LC 195.00 $78.00 0.4
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/11/2010
ANALYSIS OF CLAIMS AND CLAIMS CHART; PREPARATION OF CHANGES TO SAME AND RELATED
EMAIL MEMORANDUM TO CLIENT; ANALYSIS OF RELATED EMAILS
1268129 RB 585.00 $877.50 1.5
10/12/2010
TELEPHONE CONFERENCE W/ CLIENT REGARDING CLAIM OBJECTIONS AND REVIEW OF
SCHEDULED CLAIMS
1269744 GDL 335.00 $234.50
0.7
10/12/2010
REVISION OF CLAIM CHART, INCORPORATING COMMENTS
1269745 GDL 335.00 $268.00 0.8
10/12/2010
PREPARATION OF EMAIL EXCHANGE RE CLAIMS ISSUES
1268151 RB 585.00 $117.00 0.2
10/12/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE CLAIMS RECONCILIATION ISSUES (MULTI)
1265002 TMA 485.00 $97.00
0.2
10/12/2010
EMAIL EXCHANGE WITH BNY RE STIPULATION RESOLVING CLAIMS
1265005 TMA 485.00 $48.50 0.1
10/13/2010
CONFERENCE REGARDING CLAIM OBJECTIONS
1269754 GDL 335.00 $134.00 0.4
10/13/2010
DRAFT OMNIBUS OBJECTION TO CLAIMS
1269755 GDL 335.00 $971.50
2.9
10/13/2010
PREPARATION OF CLAIMS CORRESPONDENCE
1268984 RB 585.00 $58.50 0.1
10/13/2010
ANALYSIS OF CLAIMS RECONCILIATION CHART
1265093 TMA 485.00 $97.00 0.2
10/13/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE LANCASTER LEASE CURE ISSUES
1265132 TMA 485.00 $48.50
0.1
10/13/2010
ANALYSIS OF CORRESPONDENCE FROM BNY RE STIPULATION RESOLVING CLAIMS
1265183 TMA 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/13/2010
TELEPHONE CONF. W/ OPP COUNSEL FOR USCB RE STIPULATION RESOLVING BNY CLAIMS
1265184 TMA 485.00 $48.50 0.1
10/13/2010
PREPARATION OF CORRESPONDENCE TO BNY AND USCB RE STIPULATION RESOLVING BNY
CLAIMS
1265185 TMA 485.00 $48.50
0.1
10/14/2010
ANALYSIS OF CORRESPONDENCE FROM BNY AND USCB RE STIPULATION SETTLING CLAIMS
1265843 TMA 485.00 $48.50 0.1
10/14/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE STIPULATION RESOLVING BNY CLAIMS
1265845 TMA 485.00 $48.50 0.1
10/14/2010
PREPARATION OF ORDER ON STIPULATION RESOLVING BNY CLAIMS
1265846 TMA 485.00 $145.50
0.3
10/15/2010
ANALYSIS OF STIPULATION BY WESTCLIFF MEDICAL LABORATORIES, INC. AND THE BANK OF
NEW YORK MELLON RESOLVING CLAIMS
1272509 JLR 485.00 $97.00 0.2
10/15/2010
ANALYSIS OF PROOF OF CLAIM OF STACI HAROLD
1272511 JLR 485.00 $48.50 0.1
10/15/2010
PREPARATION OF STIPULATION AND ORDER RESOLVING MELLON BANK CLAIMS FOR E-FILING;
UPLOADING; PREPARATION OF SERVICE LISTS, NOE AND COPIES TO CHAMBERS
1266143 LC 195.00 $117.00
0.6
10/15/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE BANK OF MELLON SETTLEMENT
1266329 TMA 485.00 $48.50 0.1
10/18/2010
ANALYSIS OF PROOF OF CLAIM OF KIP M VERNAGLIA
1272561 JLR 485.00 $48.50 0.1
10/18/2010
ANALYSIS OF PROOF OF CLAIM OF STATE BOARD OF EQUALIZATION
1272566 JLR 485.00 $48.50
0.1
10/18/2010
ANALYSIS OF PROOF OF CLAIM OF GENZYME GENETICS
1272667 JLR 485.00 $48.50 0.1
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8/1/2010
11/30/2010 To Date
From Date
10/18/2010
ANALYSIS OF 2ND PROOF OF CLAIM OF GENZYME GENETICS
1272669 JLR 485.00 $48.50 0.1
10/18/2010
ANALYSIS OF NOTICE OF TRANSFER OF CLAIM PURSUANT TO FRBP 3001(E)(1) OR (3) FROM PMA
SERVICES INC TO RIVERSIDE CLAIMS LLC
1272672 JLR 485.00 $48.50
0.1
10/18/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE SETTLEMENT WITH BANK OF MELLON
1266345 TMA 485.00 $48.50 0.1
10/19/2010
TELEPHONE CONFERENCE WITH CREDITOR GREATER ALARM CO AND EMAIL RE SAME
1267091 TMA 485.00 $48.50 0.1
10/21/2010
ANALYSIS OF PROOF OF CLAIM OF INVERNESS MEDICAL INNOVATIONS NA
1272759 JLR 485.00 $48.50
0.1
10/22/2010
ANALYSIS OF PROOF OF CLAIM OF RUPAL DESAI
1272880 JLR 485.00 $48.50 0.1
10/22/2010
ANALYSIS OF EMAILS RE: CLAIMS ISSUES
1271485 RB 585.00 $58.50 0.1
10/22/2010
TELEPHONE CONF. W/ OPP COUNSEL FOR CONTINTENTAL SKYPARK CORP. RE STATUS OF CASE
AND CLAIM
1268371 TMA 485.00 $97.00
0.2
10/25/2010
ANALYSIS OF EMAIL FROM TESS MYERS RE HER PROOF OF CLAIM
1268831 JK 195.00 $19.50 0.1
10/25/2010
ANALYSIS OF PROOF OF CLAIM OF MATTSON RESOURCES LLC
1272909 JLR 485.00 $48.50 0.1
10/25/2010
REVIEW AND REVISE ORDER RE SETTLEMENT OF EMPLOYEE CLAIMS
1269317 TMA 485.00 $48.50
0.1
10/26/2010
PREPARATION OF CLAIMS CHART TO REFLECT LATE FILED CLAIMS
1273036 GDL 335.00 $234.50 0.7
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/26/2010
ANALYSIS OF LATE FILED CLAIMS
1273037 GDL 335.00 $167.50 0.5
10/26/2010
DRAFT OMNIBUS OBJECTION, GIVEN LATE CLAIMS
1273038 GDL 335.00 $435.50
1.3
10/27/2010
RESEARCH REGARDING LATE FILED CLAIMS
1273049 GDL 335.00 $435.50 1.3
10/27/2010
PREPARATION OF OMNIBUS CLAIM OBJECTION
1273050 GDL 335.00 $134.00 0.4
10/27/2010
ANALYSIS OF DECLARATION OF NON-OPPOSITION AND ORDER RE STIPULATION RESOLVING
AFCO CLAIMS
1270230 TMA 485.00 $97.00
0.2
10/28/2010
DRAFT OMNIBUS OBJECTION
1273051 GDL 335.00 $201.00 0.6
10/30/2010
ANALYSIS OF PROOF OF CLAIM OF JENNIFER JUDKINS
1272950 JLR 485.00 $48.50 0.1
10/30/2010
ANALYSIS OF PROOF OF CLAIM OF NIRMALJIT KAUR
1272951 JLR 485.00 $48.50
0.1
10/30/2010
ANALYSIS OF PROOF OF CLAIM OF DEPARTMENT OF PUBLIC HEALTH
1272955 JLR 485.00 $48.50 0.1
10/30/2010
ANALYSIS OF PROOF OF CLAIM OF PROMETHEUS LABORATORIES INC
1272957 JLR 485.00 $48.50 0.1
11/1/2010
ANALYSIS OF ORDER GRANTING MELLON CLAIM STIPULATION
1277060 RB 585.00 $58.50
0.1
11/2/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE SETTLEMENT RE INSIDER COMPENSATION
AND RESPOND
1273234 TMA 485.00 $48.50 0.1
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8/1/2010
11/30/2010 To Date
From Date
11/8/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE STATUS OF CLAIMS AND RESPOND
1274361 TMA 485.00 $48.50 0.1
11/9/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE SETTLEMENT AGREEMENT RE MANAGEMENT
CLAIMS AND RESPOND
1274751 TMA 485.00 $48.50
0.1
11/10/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE ORDER RESOLVING CLAIMS OF PRIOR
MANAGEMENT
1275053 TMA 485.00 $48.50 0.1
11/15/2010
ANALYSIS OF ROCHE ADM CLAIM MOTION AND RELATED PLEADINGS
1280937 RB 585.00 $117.00 0.2
11/16/2010
ANALYSIS OF CORRESPONDENCE TO 503(B)(9) CLAIMANT RE: RECEIPT OF GOODS EVIDENCE
1277347 JPF 335.00 $33.50
0.1
11/16/2010
ANALYSIS OF ROCHE 503(B)(9) CLAIM MOTION
1277349 JPF 335.00 $33.50 0.1
11/16/2010
ANALYSIS OF ROCHE ADM CLAIM MOTION AND RELATED EMAIL EXCHANGE
1280944 RB 585.00 $117.00 0.2
11/16/2010
ANALYSIS OF CORRESPONDENCE FROM SECURED CREDITOR RE MANAGEMENT CLAIM
SETTLEMENT AND RESPOND
1276876 TMA 485.00 $48.50
0.1
11/16/2010
ANALYSIS OF ROCHE MOTION FOR ADMINISTRATIVE CLAIM
1276878 TMA 485.00 $48.50 0.1
11/16/2010
PREPARATION OF CORRESPONDENCE TO ROCHE COUNSEL RE MOTION FOR ADMINISTRATIVE
CLAIM
1276879 TMA 485.00 $48.50 0.1
11/16/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE ROCHE MOTION FOR ADMINISTRATIVE
CLAIM
1276880 TMA 485.00 $48.50
0.1
11/16/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE DEADLINE FOR THE FILING OF PROOFS OF
CLAIM RE REJECTED CONTRACTS AND LEASES AND RESPOND
1277183 TMA 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
11/16/2010
ANALYSIS OF CORRESPONDENCE FROM FU COUNSEL RE SETTLEMENT WITH ACE INSURANCE
AND RESPOND
1277211 TMA 485.00 $48.50 0.1
11/16/2010
PREPARATION OF CORRESPONDENCE TO ROCHE RE RESOLUTION OF ADMINISTRATIVE CLAIM
1277281 TMA 485.00 $48.50
0.1
11/18/2010
PREPARATION OF MOTION TO ASSUME PHLEBOTOMY CONTRACT
1279025 TMA 485.00 $339.50 0.7
11/19/2010
ANALYSIS OF CLAIM TRANSFERS
1281197 RB 585.00 $58.50 0.1
11/23/2010
ANALYSIS OF VICTOR VALLEY CLAIM ISSUES
1281225 RB 585.00 $58.50
0.1
11/27/2010
ANALYSIS OF CORRESPONDENCE FROM ROCHE RE STIPULATION TO CONTINUE HEARING ON
MOTION FOR ADMINISTRATIVE CLAIM
1281209 TMA 485.00 $48.50 0.1
11/29/2010
ANALYSIS OF ROCHE CLAIM STIPULATION
1282397 RB 585.00 $58.50 0.1
11/29/2010
PREPARATION OF STIPULATION AND ORDER CONTINUING HEARING ON ROCHE MOTION FOR
ADMINISTRATIVE CLAIM
1280931 TMA 485.00 $485.00
1.0
11/29/2010
PREPARATION OF CORRESPONDENCE TO OPPOSING COUNSEL RE STIPULATION AND ORDER
CONTINUING HEARING ON ROCHE MOTION FOR ADMINISTRATIVE CLAIM
1280994 TMA 485.00 $48.50 0.1
11/29/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE ORDER ON MOTION TO APPROVE
SETTLEMENT RE MANAGEMENT CLAIMS AND RESPOND
1281158 TMA 485.00 $48.50 0.1
117.7
Total $46,929.50
FEE / EMPLOYMENT APPLICATIONS 07 -
8/1/2010
PREPARATION OF GSB FEE APPLICATION
1238795 TMA 485.00 $533.50 1.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/1/2010
PREPARATION OF CORRESPONDENCE TO GSB RE FEE APPLICATION
1238798 TMA 485.00 $48.50 0.1
8/2/2010
ANALYSIS OF INSURANCE POLICY ON EMPLOYMENT AND COVERAGE OF LAW FIRM FOR
EMPLOYMENT PRACTICES LIABILTY
1239354 JPF 335.00 $1,273.00
3.8
8/2/2010
ANALYSIS OF CORRESPONDENCE FROM DAVID GEE RE FEE APPLICATION AND RESPOND
1239385 TMA 485.00 $48.50 0.1
8/2/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE C&B EMPLOYMENT APPLICATION AND
RESPOND
1239406 TMA 485.00 $48.50 0.1
8/2/2010
ANALYSIS OF CORRESPONDENCE FROM TAE IM C&B EMPLOYMENT APPLICATION AND RESPOND
1239407 TMA 485.00 $48.50
0.1
8/2/2010
PREPARATION OF NOTICE OF C&B EMPLOYMENT APPLICATION
1239408 TMA 485.00 $291.00 0.6
8/2/2010
FINALIZE C&B EMPLOYMENT APPLICATION
1239409 TMA 485.00 $97.00 0.2
8/3/2010
PREPARATION OF NOTICE AND APPLICATION OF DEBTORS AND DEBTORS IN POSSESSION TO
EMPLOY CALLAHAN & BLAINE; EFILE WITH COURT ECF SYSTEM
1239601 JK 195.00 $234.00
1.2
8/3/2010
ANALYSIS OF APPLICATION TO EMPLOY CALLAHAN & BLAINE
1249760 JLR 485.00 $48.50 0.1
8/3/2010
ANALYSIS OF EMAILS RE FEE APP ISSUES
1246600 RB 585.00 $58.50 0.1
8/3/2010
ANALYSIS OF CALLAHAN & BLAINE EMPLOYMENT APPLICATION
1246602 RB 585.00 $58.50
0.1
8/3/2010
ANALYSIS OF MULTIPLE EMAILS RE FEES; PREPARATION OF FEE APPLICATION NOTICE
1246615 RB 585.00 $117.00 0.2
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/3/2010
TELEPHONE CONFERENCE WITH FTI RE EMPLOYMENT BY FTC
1239628 TMA 485.00 $48.50 0.1
8/3/2010
ANALYSIS OF CORRESPONDENCE FROM FTI RE EMPLOYMENT BY FTC AND SUPPLEMENTAL
DISCLOSURE RE SAME AND RESPOND
1239629 TMA 485.00 $48.50
0.1
8/3/2010
TELEPHONE CONFERENCE WITH K&E RE FEE APPLICATION
1239784 TMA 485.00 $48.50 0.1
8/3/2010
PREPARATION OF NOTICE OF FIRST INTERIM FEE APPLICATIONS
1239921 TMA 485.00 $242.50 0.5
8/3/2010
PREPARATION OF LNBYB'S FIRST INTERIM FEE APPLICATION
1239922 TMA 485.00 $194.00
0.4
8/3/2010
PREPARATION OF CORRESPONDENCE TO OCC COUNSEL AND MTS COUNSEL RE NOTICE ON FIRST
INTERIM FEE APP
1239924 TMA 485.00 $48.50 0.1
8/4/2010
ANALYSIS OF INTERIM APPLICATION FOR APPROVAL OF FEES AND REIMBURSEMENT OF
EXPENSES OF KIRKLAND & ELLIS
1249913 JLR 485.00 $48.50 0.1
8/4/2010
ANALYSIS OF FIRST INTERIM APPLICATION FOR APPROVAL OF FEES AND REIMBURSEMENT OF
EXPENSES OF LNBYB
1249914 JLR 485.00 $48.50
0.1
8/4/2010
ANALYSIS OF CORRESPONDENCE FROM COMMITTEE COUNSEL RE: COMMITTEE COUNSEL'S
UPDATED FEES FOR JULY
1240289 JPF 335.00 $33.50 0.1
8/4/2010
PREPARATION OF LNBYB FEE APPLICATION FOR E-FILING; PREPARATION OF EXHIBITS AND
SERVICE LISTS
1240797 LC 195.00 $487.50 2.5
8/4/2010
PREPARATION OF K&E FEE APPLICATION FOR E-FILING; PREPARATION OF SERVICE LISTS AND
COPY TO CHAMBERS
1240798 LC 195.00 $175.50
0.9
8/4/2010
PREPARATION OF NOTICE OF FEE APPLICATIONS FOR E-FILING; PREPARATION OF SERVICE LISTS
1240799 LC 195.00 $136.50 0.7
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/4/2010
ANALYSIS OF FTI COMP ORDER
1246632 RB 585.00 $58.50 0.1
8/4/2010
ANALYSIS OF MULTIPLE EMAILS RE FEE APPLICATION ISSUES
1246636 RB 585.00 $58.50
0.1
8/4/2010
ANALYSIS OF EMAILS RE C&B EMPLOYMENT ISSUES
1246638 RB 585.00 $58.50 0.1
8/4/2010
ANALYSIS OF MULTIPLE FEE APPS
1246679 RB 585.00 $175.50 0.3
8/4/2010
ANALYSIS OF EMAILS RE K&B EMPLOYMENT ISSUES
1246680 RB 585.00 $58.50
0.1
8/4/2010
PREPARATION OF ORDER ON CONTINUED EMPLOYMENT AND COMPENSATION FOR
FTI/PAKKALA, PETERSON, CONTRERAS
1240239 TMA 485.00 $194.00 0.4
8/4/2010
ANALYSIS OF CORRESPONDENCE FROM K&E RE FEE APP AND RESPOND
1240286 TMA 485.00 $48.50 0.1
8/4/2010
ANALYSIS OF CORRESPONDENCE FROM BUCHALTER RE FEE APP AND RESPOND
1240292 TMA 485.00 $48.50
0.1
8/4/2010
ANALYSIS OF AMENDED FEE INFORMATION FROM THE OCC AND EMAIL RE SAME AND RESPOND
1240336 TMA 485.00 $48.50 0.1
8/4/2010
REVISE FEE NOTICE PER UPDATED INFORMATION FROM OCC
1240337 TMA 485.00 $48.50 0.1
8/4/2010
EMAILS WITH K&E RE FEE APP NOTICE
1240490 TMA 485.00 $48.50
0.1
8/4/2010
PREPARATION OF K&E FEE APPLCAITION
1240495 TMA 485.00 $194.00 0.4
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/4/2010
EMAILS WITH K&E RE FEE APP (MULTIPLE)
1240567 TMA 485.00 $97.00 0.2
8/4/2010
TELEPHONE CONFERENCE WITH K&E RE FEE APP
1240568 TMA 485.00 $48.50
0.1
8/4/2010
FINALIZE K&E FEE APPLICATION AND NOTICE ON ALL FEE APPLICATIONS
1240763 TMA 485.00 $291.00 0.6
8/4/2010
ANALYSIS OF CORRESPONDENCE FROM OCC COUNSEL RE C&B EMPLOYMENT AND RESPOND
1240826 TMA 485.00 $48.50 0.1
8/4/2010
PREPARATION OF CORRESPONDENCE TO CLIENT AND C&B RE C&B EMPLOYMENT AND OCC
INQUIRIES RE SAME
1240827 TMA 485.00 $48.50
0.1
8/4/2010
ANALYSIS OF CORRESPONDENCE FROM FTI RE SUPPLEMENTAL 2014 DISCLOSURE
1240831 TMA 485.00 $48.50 0.1
8/5/2010
ANALYSIS OF CORRESPONDENCE FROM EMPLOYMENT INSURANCE CO-COUNSEL TO CARRIER
RE: EMPLOYMENT ISSUES
1241151 JPF 335.00 $33.50 0.1
8/5/2010
ANALYSIS OF INSURANCE POLICY FOR GORDON A& REESE EMPLOYMENT
1241161 JPF 335.00 $100.50
0.3
8/5/2010
ANALYSIS OF INSURANCE POLICY FOR EMPLOYMENT PRACTICES LIABILITY AND EMPLOYMENT
OF GORDON & REES AS SPECIAL LITIGATION COUNSEL
1241171 JPF 335.00 $502.50 1.5
8/5/2010
PREPARATION OF MEMORANDUM RE: INSURANCE COVERAGE OF GORDON & REES' ATTORNEYS'
FEES FOR EMPLOYMENT APPLICATION
1241275 JPF 335.00 $234.50 0.7
8/5/2010
PREPARATION OF EMPLOYMENT APPLICATION FOR GORDON & REESE
1241311 JPF 335.00 $435.50
1.3
8/5/2010
PREPARATION OF EMPLOYMENT APPLICATION FOR GORDON & REES
1241374 JPF 335.00 $167.50 0.5
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8/1/2010
11/30/2010 To Date
From Date
8/5/2010
ANALYSIS OF C&B EMPLOYMENT ISSUES AND RELATED EMAIL EXCHANGE
1246696 RB 585.00 $58.50 0.1
8/5/2010
ANALYSIS OF CORRESPONDENCE FROM C&B RE RESPONSES TO OCC INQUIRIES RE RETENTION
1241116 TMA 485.00 $97.00
0.2
8/5/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE RESPONSES TO OCC INQUIRIES RE
RETENTION
1241117 TMA 485.00 $48.50 0.1
8/5/2010
PREPARATION OF CORRESPONDENCE TO CLIENT AND C&B RE RESPONSES TO OCC INQUIRIES RE
RETENTION
1241118 TMA 485.00 $97.00 0.2
8/6/2010
ANALYSIS OF CORRESPONDENCE FROM C&B RE TARUS ACTION COMPLAINT AND SETTLEMENT
AGREEMENT
1241616 TMA 485.00 $242.50
0.5
8/6/2010
PREPARATION OF CORRESPONDENCE TO OCC RE TARUS ACTION COMPLAINT AND SETTLEMENT
AGREEMENT
1241617 TMA 485.00 $48.50 0.1
8/17/2010
ANALYSIS OF EMAILS RE FEE ISSUES
1247239 RB 585.00 $58.50 0.1
8/18/2010
ANALYSIS OF DECLARATION RE: OF JONATHAN ISAAC IN SUPPORT OF BUCHALTER NEMER'S
FIRST INTERIM FEE APPLICATION
1250299 JLR 485.00 $48.50
0.1
08/18/2010
PREPARATION OF DECLARATION RE NON OPP AND ORDER RE CALLAHAN AND BLAINE'S
APPLICATION FOR EMPLOYMENT; PREPARATION OF EXHIBITS; ANALYSIS OF FILE
1245052 LC 195.00 $175.50 0.9
8/18/2010
ANALYSIS OF EMAILS RE FEE AND EXPENSE REIMBURSEMENT ISSUES
1247245 RB 585.00 $58.50 0.1
8/18/2010
ANALYSIS OF EMAILS RE FEE APPLICATION ISSUES
1247255 RB 585.00 $58.50
0.1
8/18/2010
PREPARATION OF CLIENT DECLARATION RE FIRST INTERIM FEE APPLICATIONS
1245320 TMA 485.00 $145.50 0.3
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/18/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE DECLARATION RE FIRST INTERIM FEE
APPLICATIONS
1245321 TMA 485.00 $48.50 0.1
8/18/2010
PREPARATION OF DECLARATION OF NON-OPPOSITION AND ORDER RE CC&B EMPLOYMENT
1245383 TMA 485.00 $145.50
0.3
8/19/2010
ANALYSIS OF DECLARATION RE: NON OPPOSITION TO APPLICATION TO EMPLOY CALLAHAN &
BLAINE
1250395 JLR 485.00 $48.50 0.1
8/19/2010
PREPARATION OF M. PAKKALA DEC. IN SUPPORT OF LNBYB AND K&E FEE APPS FOR E-FILING;
PREPARATION OF SERVICE LISTS
1246079 LC 195.00 $58.50 0.3
8/19/2010
PREPARATION OF DECLARATION RE NON OPP AND ORDER RE APPLICATION TO EMPLOY
CALLAHAN & BLAINE FOR E-FILING/UPLOADING; PREPARATION OF SERVICE LISTS, NOE AND
COPIES TO CHAMBERS
1246083 LC 195.00 $117.00
0.6
8/19/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE DECLARATION ON FEE APPLICATIONS
1245645 TMA 485.00 $48.50 0.1
8/23/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE EMPLOYMENT OF K&E TO REPRESENT
EQUITY HOLDERS
1246219 TMA 485.00 $48.50 0.1
8/24/2010
ANALYSIS OF EMAILS RE EMPLOYMENT ISSUES
1250350 RB 585.00 $58.50
0.1
8/24/2010
ANALYSIS OF COURT TENTATIVE RULING ON FEE APPLICATIONS; PREPARATION OF RELATED
EMAIL EXCHANGE
1250384 RB 585.00 $58.50 0.1
8/24/2010
TELEPHONE CONFERENCE WITH MTS COUNSEL RE FTC INVESTIGATION AND FEE ISSUES RE
SAME
1246775 TMA 485.00 $97.00 0.2
8/24/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE MTS CLAIM OF ENTITLEMENT TO FEES FOR
RESPONDING TO FTC
1246776 TMA 485.00 $48.50
0.1
8/24/2010
ANALYSIS OF TENTATIVE RULING RE FEE APPLICATIONS AND EMAIL OTHER COUNSEL RE SAME
1247307 TMA 485.00 $97.00 0.2
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/25/2010
TELEPHONE CONFERENCE WITH GARFINKLE RE FEE APPLICATION ISSUES
1250391 RB 585.00 $58.50 0.1
8/25/2010
PREPARATION OF FEE ORDER; ANALYSIS OF FILE RE SAME AND PREPARATION OF RELATED
EMAIL EXCHANGE
1250394 RB 585.00 $234.00
0.4
8/25/2010
APPEARANCE AT HEARING ON INTERIM FEE APPLICATIONS FOR ALL PROFESSIONALS; ANALYSIS
OF FILE RE SAME
1250427 RB 585.00 $1,755.00 3.0
8/26/2010
ANALYSIS OF CORRESPONDENCE EMAIL CHAIN FROM CLIENT RE: KIRKLAND AND ELLIS WORK
FOR DEBTORS IN REGARD TO FTC INQUIRY
1248099 JPF 335.00 $67.00 0.2
8/26/2010
PREPARATION OF REVISED KIRKLAND AND ELLIS EMPLOYMENT APPLICATION
1248118 JPF 335.00 $134.00
0.4
8/26/2010
PREPARATION OF AMENDED EMPLOYMENT APPLICATION FOR KIRKLAND AND ELLIS
1248136 JPF 335.00 $536.00 1.6
8/26/2010
PREPARATION OF ORDER GRANTING PROFESSIONALS FEES FOR UPLOADING; PREPARATION OF
SERVICE LISTS AND NOE
1248000 LC 195.00 $78.00 0.4
8/26/2010
PREPARATION OF EMAIL EXCHANGE RE FEES AND PAYMENT
1250447 RB 585.00 $58.50
0.1
8/26/2010
ANALYSIS OF PROPOSED FEE ORDER
1247968 TMA 485.00 $48.50 0.1
8/26/2010
ANALYSIS OF CORRESPONDENCE FROM OCC COUNSEL RE PROPOSED FEE ORDER
1247969 TMA 485.00 $48.50 0.1
8/27/2010
PREPARATION OF KIRLAND AND ELLIS AMENDED EMPLOYMENT APPLICATION
1248411 JPF 335.00 $100.50
0.3
8/27/2010
PREPARATION OF K&E AMENDED EMPLOYMENT APPLICATION
1248434 JPF 335.00 $67.00 0.2
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/27/2010
PREPARATION OF CORRESPONDENCE TO CLIENT M. PAKKALA RE: K&E AMENDED EMPLOYMENT
APPLICATION
1248521 JPF 335.00 $33.50 0.1
8/27/2010
ANALYSIS OF AMENDED K&E EMPLOYMENT APPLICATION
1248673 TMA 485.00 $97.00
0.2
8/27/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE AMENDED K&E EMPLOYMENT APPLICATION
1248674 TMA 485.00 $48.50 0.1
8/30/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT M. PAKKALA RE: AMENDED EMPLOYMENT
APPLICATION FOR K&E AS CORP COUNSEL ON FTC INVESTIGATION
1248851 JPF 335.00 $33.50 0.1
8/30/2010
PREPARATION OF KIRKLAND & ELLIS AMENDED EMPLOYMENT APPLICATION WITH FTC INQUIRY
1248917 JPF 335.00 $167.50
0.5
8/30/2010
PREPARATION OF CORRESPONDENCE TO CLIENT M. PAKKALA RE: REVISED AMENDED
EMPLOYMENT APPLICATION ON FTC ISSUE
1248933 JPF 335.00 $33.50 0.1
8/30/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT M. PAKKALA WITH REVISIONS TO K&E
CORPORATE COUNSEL AMENDED EMPLOYMENT APPLICATION
1249084 JPF 335.00 $33.50 0.1
8/30/2010
PREPARATION OF REVISIONS TO K&E AMENDED EMPLOYMENT APPLICATION BASED ON
CLIENT'S COMMENTS
1249113 JPF 335.00 $67.00
0.2
8/30/2010
PREPARATION OF CORRESPONDENCE TO CLIENT M. PAKKALA RE: K&E AMENDED EMPLOYMENT
APPLICATION
1249115 JPF 335.00 $33.50 0.1
8/30/2010
PREPARATION OF CORRESPONDENCE TO CLIENT M. PAKKALA RE: EMPLOYMENT APPLICATION
FOR GORDON & REES AND DEPT. FAIR EMPLOYMENT AND HOUSING LAWSUITS
1249213 JPF 335.00 $67.00 0.2
8/30/2010
ANALYSIS OF K&E EMPLOYMENT APPLICATION AMENDMENT AND RELATED EMAILS;
PREPARATION OF RESPONSES
1250518 RB 585.00 $175.50
0.3
8/30/2010
ANALYSIS OF GORDON & REES EMPLOYMENT APPLICATION AND RELATED EMAILS
1250523 RB 585.00 $117.00 0.2
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/31/2010
PREPARATION OF CORRESPONDENCE TO CO COUNSEL AT KIRKLAND & ELLIS RE: AMENDED
EMPLOYMENT APPLICATION
1249268 JPF 335.00 $33.50 0.1
8/31/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE: APPROVAL OF GORDON & REES
EMPLOYMENT APPLICATION
1249286 JPF 335.00 $33.50
0.1
8/31/2010
PREPARATION OF CORRESPONDENCE TO CO-COUNSEL AT GORDON & REES RE: EMPLOYMENT
APPLICATION
1249287 JPF 335.00 $33.50 0.1
8/31/2010
ANALYSIS OF CORRESPONDENCE FROM CO-COUNSEL R. BENNETT AT KIRKLAND & ELLIS RE:
AMENDED EMPLOYMENT APPLICATION
1249366 JPF 335.00 $33.50 0.1
8/31/2010
PREPARATION OF CORRESPONDENCE TO CO-COUNSEL AT K&E RE: NECESSITY OF AMENDED
EMPLOYMENT APPLICATION
1249429 JPF 335.00 $134.00
0.4
8/31/2010
PREPARATION OF MEMORANDUM ON INSURANCE REIMBURSEMENT ISSUES ON GORDON & REES
EMPLOYMENT APPLICATION
1249969 JPF 335.00 $167.50 0.5
8/31/2010
PREPARATION OF EMAIL EXCHANGE RE EMPLOYMENT ISSUES AND CASE PLANNING
1250538 RB 585.00 $117.00 0.2
8/31/2010
EMAILS RE AMENDED K&E EMPLOYMENT RE FTC INVESTIGATION
1249865 TMA 485.00 $48.50
0.1
8/31/2010
ANALYSIS OF GORDON AND REESE EMPLOYMENT APPLICATION AND REVISE SAME
1249909 TMA 485.00 $97.00 0.2
8/31/2010
ANALYSIS OF AMENDED KIRKLAND EMPLOYMENT APPLICATION RE FTC ISSUES
1249910 TMA 485.00 $48.50 0.1
9/7/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE ONGOING COMPENSATION ISSUES RE FTI AND
OTHER REMAINING EMPLOYEES AND RESPOND
1252531 TMA 485.00 $97.00
0.2
9/8/2010
ANALYSIS OF NOTICE OF MOTION AND SECOND MOTION FOR AUTHORITY TO CONTINUE PAYING
SENIOR MANAGEMENT COMPENSATION
1261113 JLR 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/8/2010
PREPARATION OF EMAIL EXCHANGE RE FEE ISSUES
1255388 RB 585.00 $58.50 0.1
9/8/2010
PREPARATION OF MOTION TO EXTEND RETENTION AND PAYMENT OF PAKKALA AND FTI AND
RELATED PLEADINGS
1252691 TMA 485.00 $1,649.00
3.4
9/8/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE MOTION TO EXTEND RETENTION AND
PAYMENT OF PAKKALA AND FTI
1252692 TMA 485.00 $48.50 0.1
9/8/2010
FINALIZE MOTION TO EXTEND RETENTION AND PAYMENT OF PAKKALA AND FTI
1252989 TMA 485.00 $145.50 0.3
9/9/2010
PREPARATION OF CORRESPONDENCE TO COMMITTEE RE EXTENDED FTI EMPLOYMENT AND
EXTENSION OF TIME TO ASSUME OR REJECT REAL PROPERTY LEASES
1253065 TMA 485.00 $97.00
0.2
9/14/2010
ANALYSIS OF ORDER GRANTING APPLICATION TO EMPLOY CALLAHAN & BLAINE AS SPECIAL
LITIGATION COUNSEL PURSUANT TO 11 U.S.C. SECTION 327(E)(
1261323 JLR 485.00 $48.50 0.1
9/14/2010
ANALYSIS OF COURT ORDER APPROVING EMPLOYMENT OF SPECIAL COUNSEL CALLAHAN &
BLAINE
1254648 JPF 335.00 $33.50 0.1
9/14/2010
PREPARATION OF CORRESPONDENCE TO CO-COUNSEL AT CALLAHAN & BLAINE RE: COURT
ORDER APPROVING EMPLOYMENT AS SPECIAL COUNSEL
1254659 JPF 335.00 $33.50
0.1
9/14/2010
ANALYSIS OF CALLAHAN & BLAINE EMPLOYMENT ORDER
1257814 RB 585.00 $58.50 0.1
9/14/2010
ANALYSIS OF CALLAHAN EMPLOYMENT ORDER
1254705 TMA 485.00 $48.50 0.1
09/16/2010
PREPARATION OF EMAIL EXCHANGE RE SCOPE OF K&E EMPLOYMENT
1257978 RB 585.00 $58.50
0.1
9/16/2010
TELEPHONE CONF. W/ COURT STAFF RE HEARING DATE FOR FEE APPLICATIONS
1255168 TMA 485.00 $48.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/17/2010
ANALYSIS OF ENTERED ORDER RE: LNBRB FEE APPLICATION
1261374 JLR 485.00 $48.50 0.1
9/18/2010
ANALYSIS OF ORDER RE CONTINUED COMPENSATION OF FTI THROUGH SEPTEMBER AND EMAIL
CLIENT RE SAME
1256096 TMA 485.00 $48.50
0.1
9/18/2010
ANALYSIS OF FEE ORDER AND EMAIL OTHER COUNSEL RE SAME
1256097 TMA 485.00 $48.50 0.1
9/20/2010
PREPARATION OF EMAIL EXCHANGE RE: FEE ISSUES
1258267 RB 585.00 $58.50 0.1
9/20/2010
ANALYSIS OF CORRESPONDENCE FROM CORPORATE COUNSEL RE FEE ISSUES AND RESPOND
1256233 TMA 485.00 $48.50
0.1
9/22/2010
PREPARATION OF DECLARATION OF NON-OPPOSITION AND ORDER RE CONTINUED FTI/PAKKALA
RETENTION
1257236 TMA 485.00 $145.50 0.3
9/23/2010
PREPARATION OF K&E AMENDED EMPLOYMENT APPLICATION AND RELATED
CORRESPONDENCE
1257855 JPF 335.00 $402.00 1.2
9/23/2010
PREPARATION OF EMAIL EXCHANGE RE: K&E EMPLOYMENT ISSUES
1260755 RB 585.00 $58.50
0.1
9/27/2010
PREPARATION OF EMAIL EXCHANGE RE: K&E EMPLOYMENT ISSUES AND ANALYSIS OF
EMPLOYMENT AMENDMENT
1260851 RB 585.00 $117.00 0.2
9/28/2010
PREPARATION OF CORRESPONDENCE RE: APPLICATION TO EMPLOY GORDON AND REES
1259178 JPF 335.00 $67.00 0.2
9/30/2010
ANALYSIS OF K&E EMPLOYMENT SUPPLEMENTAL AND RELATED EMAILS
1260982 RB 585.00 $58.50
0.1
9/30/2010
ANALYSIS OF SUPPLEMENTAL K&E EMPLOYMENT APPLICATION
1259983 TMA 485.00 $97.00 0.2
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/1/2010
ANALYSIS OF EMAIL RE: AMENDED APPLICATION TO EMPLOY KIRKLAND & ELLIS
1270836 JLR 485.00 $48.50 0.1
10/1/2010
PREPARATION OF EMAIL EXCHANGE RE K& E EMPLOYMENT ISSUES
1267404 RB 585.00 $58.50
0.1
10/1/2010
ANALYSIS OF K&E EMPLOYMENT APPLICATION
1267416 RB 585.00 $58.50 0.1
10/1/2010
EMAILS WITH K&E RE SUPP EMPLOYMENT APPLICATION
1260490 TMA 485.00 $48.50 0.1
10/8/2010
ANALYSIS OF ORDER APPROVING CONTINUED COMPENSATION FOR SENIOR MANAGEMENT
1264033 JPF 335.00 $33.50
0.1
10/8/2010
PREPARATION OF EMAIL EXCHANGE RE FEE ISSUES
1268003 RB 585.00 $58.50 0.1
10/13/2010
ANALYSIS OF CORRESPONDENCE FROM KIRKLAND RE FEE APPLICATIONS AND RESPOND
1265215 TMA 485.00 $48.50 0.1
10/13/2010
ANALYSIS OF ORDER RE FURTHER COMPENSATION TO FTI AND EMAIL FTI RE SAME
1265226 TMA 485.00 $48.50
0.1
10/15/2010
TELEPHONE CONF. W/ CO-COUNSEL G&R RE: STATUS OF EMPLOYMENT APPLICATION
1265912 JPF 335.00 $33.50 0.1
10/15/2010
ANALYSIS OF INSURANCE REIMBURSEMENT ISSUE ON EMPLOYMENT APPLICATION
1265937 JPF 335.00 $67.00 0.2
10/15/2010
ANALYSIS OF CORRESPONDENCE FROM KIRKLAND RE FEE APP AND RESPOND
1265894 TMA 485.00 $48.50
0.1
10/16/2010
PREPARATION OF EMAIL EXCHANGE RE: FEE ISSUES
1269110 RB 585.00 $58.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/25/2010
ANALYSIS OF NOTICE TO PROFESSIONALS OF HEARING ON APPLICATIONS FOR APPROVAL OF
FEES AND REIMBURSEMENT OF EXPENSES
1272900 JLR 485.00 $48.50 0.1
10/25/2010
ANALYSIS OF AMENDED APPLICATION TO EMPLOY KIRKLAND & ELLIS
1272905 JLR 485.00 $48.50
0.1
10/25/2010
PREPARATION OF REVISIONS TO GORDON AND REESE EMPLOYMENT APPLICATION
1268969 JPF 335.00 $67.00 0.2
10/25/2010
PREPARATION OF CORRESPONDENCE TO CO-COUNSEL AT G&R RE: GORDON & REES
EMPLOYMENT APPLICATION MODIFICATION
1269158 JPF 335.00 $67.00 0.2
10/25/2010
ANALYSIS OF CORRESPONDENCE FROM CO-COUNSEL AT GORDON AND REES RE: EMPLOYMENT
APPLICATION
1269476 JPF 335.00 $33.50
0.1
10/25/2010
PREPARATION OF 45 DAY FEE APPLICATION NOTICE TO PROFESSIONALS
1268945 LC 195.00 $58.50 0.3
10/25/2010
PREPARATION OF NOTICE TO PROFESSIONALS FOR E-FILING; ANALYSIS OF EMPLOYMENT
APPLICATIONS IN PREPARATION OF PROFESSIONALS SERVICE LISTS; COPY TO CHAMBERS AND
CALENDARING EVENTS
1268949 LC 195.00 $117.00 0.6
10/25/2010
PREPARATION OF DECLARATION OF NON OPPOSITION AND ORDER RE AMENDED K&E
EMPLOYMENT APPLICATION; E-FILE/UPLOAD SAME; PREPARATION OF EXHIBIT, SERVICE LISTS,
NOE, AND COPY TO CHAMBERS; ANALYSIS OF FILE AND COURT DOCKET
1269288 LC 195.00 $195.00
1.0
10/25/2010
PREPARATION OF 45-DAY FEE APPLICATION NOTICE
1269169 TMA 485.00 $97.00 0.2
10/25/2010
PREPARATION OF DECLARATION OF NON-OPPOSITION AND ORDER RE AMENDED K&E
APPLICATION
1269203 TMA 485.00 $97.00 0.2
10/27/2010
TELEPHONE CONF. W/ CO-COUNSEL AT GORDON REES RE: EMPLOYMENT APPLICATION
NUMBERS AND INSURANCE REIMBURSEMENT
1270079 JPF 335.00 $100.50
0.3
10/27/2010
PREPARATION OF CORRESPONDENCE TO GORDON REES RE: EMPLOYMENT APPLICATION
REVISIONS NEEDED
1270104 JPF 335.00 $33.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/27/2010
PREPARE FOR MEETING AND MEETING WITH GORDON AND REESE RE EMPLOYMENT
APPLICATION
1270105 TMA 485.00 $242.50 0.5
11/16/2010
PREPARATION OF MULTIPLE EMAIL EXCHANGE RE: FEE APPLICATION ISSUES AND PLANNING
1280951 RB 585.00 $117.00
0.2
11/16/2010
PREPARATION OF CORRESPONDENCE TO K&E RE FEE APPLICATIONS
1277313 TMA 485.00 $48.50 0.1
11/19/2010
ANALYSIS OF EMAIL EXCHANGE RE: MTS EXPENSE APPLICATION
1281198 RB 585.00 $58.50 0.1
11/19/2010
ANALYSIS OF CORRESPONDENCE FROM MTS RE FEE APPLICATION AND RESPOND
1279013 TMA 485.00 $48.50
0.1
11/22/2010
ANALYSIS OF EMAILS RE: K&E FEE APPLICATION
1281217 RB 585.00 $58.50 0.1
11/22/2010
EMAILS WITH KIRKLAND RE PREPARATION OF FEE APPLICATIONS
1279364 TMA 485.00 $48.50 0.1
11/29/2010
ANALYSIS OF EMAIL RE: BUCHALTER FEES
1282399 RB 585.00 $58.50
0.1
11/29/2010
ANALYSIS OF BUCHALTER FEE APPLICATION
1282400 RB 585.00 $117.00 0.2
11/29/2010
ANALYSIS OF MTS FEE APPLICATION AND RELATED EMAILS
1282408 RB 585.00 $117.00 0.2
11/29/2010
PREPARATION OF SECOND INTERIM FEE APPLICATION OF KIRKLAND AND ELLIS
1280922 TMA 485.00 $727.50
1.5
11/29/2010
PREPARATION OF OMNIBUS NOTICE OF SECOND INTERIM FEE APPLICATIONS
1280924 TMA 485.00 $194.00 0.4
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CASE # 4367
Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
11/29/2010
ANALYSIS OF BUCHALTER'S SECOND INTERIM FEE APPLICATION
1281238 TMA 485.00 $145.50 0.3
11/29/2010
ANALYSIS OF MTS' INTERIM FEE APPLICATION
1281289 TMA 485.00 $194.00
0.4
11/29/2010
ANALYSIS OF CORRESPONDENCE FROM DECHERT RE MTS' INTERIM FEE APPLICATION AND
RESPOND
1281290 TMA 485.00 $48.50 0.1
11/29/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE MTS' INTERIM FEE APPLICATION
1281292 TMA 485.00 $48.50 0.1
11/29/2010
TELEPHONE CONFERENCE WITH MTS COUNSEL RE FEE APPLICATION
1281348 TMA 485.00 $48.50
0.1
11/30/2010
PREPARATION OF LNBYB SECOND INTERIM FEE APPLICATION; ANALYSIS OF FILE RE: SAME;
PREPARATION OF NOTICE; ANALYSIS OF OTHER FEE APPLICATIONS
1282410 RB 585.00 $2,047.50 3.5
11/30/2010
PREPARATION OF MULTIPLE EMAIL EXCHANGE RE: FEE APPLICATION ISSUES
1282415 RB 585.00 $175.50 0.3
11/30/2010
ANALYSIS OF CORRESPONDENCE FROM K&E RE FEE APPLICATION AND RESPOND
1281572 TMA 485.00 $48.50
0.1
11/30/2010
ANALYSIS OF CORRESPONDENCE FROM DECHERT RE MTS FEE APPLICATION AND RESPOND
1281573 TMA 485.00 $48.50 0.1
11/30/2010
FINALIZE K&E AND MTS FEE APPLICATIONS AND NOTICE THEREON
1281602 TMA 485.00 $533.50 1.1
59.5
Total $24,831.50
FINANCING 09 -
8/5/2010
TELEPHONE CONFERENCE WITH ADLER RE CASH COLLATERAL NEGOTIATIONS AND
PREPARATION OF RELATED EMAIL EXCHANGE
1246705 RB 585.00 $175.50 0.3
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CASE # 4367
Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/11/2010
ANALYSIS OF RODGERS EMAIL RE GE PAYMENT ISSUES AND RESPONSE
1247075 RB 585.00 $58.50 0.1
9/9/2010
ANALYSIS OF CORRESPONDENCE ATTORNEY MICHAEL GOMEZ, COUNSEL FOR FFCI RE: CASH
COLLATERAL ISSUES
1261131 JLR 485.00 $48.50
0.1
9/9/2010
EMAILS WITH CLIENT REP RE: CASH COLLATERAL ISSUES
1261132 JLR 485.00 $194.00 0.4
10/30/2010
EMAILS RE; THE DEPOSITIONS SCHEDULED BY FFCI
1272964 JLR 485.00 $97.00 0.2
1.1
Total $573.50
RELIEF FROM STAY 10 -
8/11/2010
PREPARATION OF STAY LETTER (FINAL) FOR SERVICE BY OVERNIGHT MAIL AND E-MAIL
1242821 LC 195.00 $19.50 0.1
8/11/2010
ANALYSIS OF DPEH STAY LETTER
1247082 RB 585.00 $58.50
0.1
8/26/2010
RESEARCH REGARDING MOTION TO IMPOSE SANCTIONS ON STATE FOR VIOLATION OF THE
AUTOMATIC STAY
1248265 JPF 335.00 $134.00 0.4
8/27/2010
ANALYSIS OF ACE STAY LETTER
1250475 RB 585.00 $58.50 0.1
8/31/2010
EMAILS RE: MELLON BANK STAY VIOLATION ISSUE
1250682 JLR 485.00 $97.00
0.2
9/1/2010
ANALYSIS OF DFEH STAY VIOLATION AND RELATED EMAILS
1255037 RB 585.00 $117.00 0.2
9/9/2010
ANALYSIS OF BANK OF MELLON CANCELLATION ISSUES AND STAY VIOLATION
1255410 RB 585.00 $58.50 0.1
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CASE # 4367
Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/14/2010
ANALYSIS OF ORDER GRANTING HITACHI RELIEF FROM STAY
1258205 JLR 485.00 $48.50 0.1
9/15/2010
ANALYSIS OF AFCO RELIEF FROM STAY AND ADEQUATE PROTECTION STIPULATION AND
MULTIPLE RELATED EMAILS AND DOCUMENTS
1257881 RB 585.00 $234.00
0.4
9/15/2010
ANALYSIS OF CORRESPONDENCE FROM AFCO COUNSEL RE FINANCING AGREEMENTS AND
STIPULATION FOR RELIEF FROM STAY RE SAME
1254865 TMA 485.00 $97.00 0.2
9/15/2010
ANALYSIS OF AFCO DRAFT STIPULATION FOR RELIEF FROM STAY AND REVISE SAME
1254866 TMA 485.00 $485.00 1.0
9/15/2010
TELEPHONE CONFERENCE W/ CLIENT RE AFCO STIPULATION FOR RELIEF FROM STAY AND
RESPOND RE SAME
1254934 TMA 485.00 $97.00
0.2
9/16/2010
ANALYSIS OF EMAILS RE: AFCO STAY DISPUTES AND POSSIBLE STIPULATION
1258005 RB 585.00 $117.00 0.2
9/20/2010
ANALYSIS OF AFCO STIPULATION AND MULTIPLE RELATED EMAIL EXCHANGE
1258275 RB 585.00 $117.00 0.2
3.5
Total $1,738.50
PLAN AND DISCLOSURE STATEMENT 12 -
9/13/2010
PREPARATION OF EMAIL EXCHANGE RE PLAN ISSUES
1257728 RB 585.00 $58.50 0.1
9/16/2010
PREPARATION OF NOTICE OF MOTION AND MOTION TO EXTEND DEBTORS' EXCLUSIVITY
PERIODS FOR FILING PLANS OF REORGANIZATION AND OBTAINING ACCEPTANCES THEREOF;
MEMORANDUM OF POINTS AND AUTHORITIES AND DECLARATION OF MATTHEW PAKKALA IN
1255456 JK 195.00 $136.50
0.7
9/16/2010
ANALYSIS OF MOTION TO EXTEND EXCLUSIVITY PERIOD FOR FILING A CHAPTER 11 PLAN AND
DISCLOSURE STATEMENT
1261371 JLR 485.00 $48.50 0.1
9/16/2010
PREPARATION OF MOTION TO EXTEND 1121 EXCLUSIVITY PERIOD TO FILE PLAN
1255226 JPF 335.00 $837.50 2.5
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CASE # 4367
Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/16/2010
PREPARATION OF MOTION TO EXTEND PLAN EXCLUSIVITY AND DECLARATION THEREON
1255431 JPF 335.00 $335.00 1.0
9/16/2010
PREPARATION OF CORRESPONDENCE TO CLIENT RE: MOTION TO EXTEND PLAN EXCLUSIVITY
1255432 JPF 335.00 $33.50
0.1
9/16/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT WITH REVISIONS TO MOTION TO EXTEND
EXCLUSIVITY
1255442 JPF 335.00 $33.50 0.1
9/16/2010
PREPARATION OF REVISIONS TO MOTION TO EXTEND EXCLUSIVITY BASED ON CLIENT
FEEDBACK
1255444 JPF 335.00 $134.00 0.4
9/16/2010
PREPARATION OF PLAN EXCLUSIVITY MOTION AND RELATED PLEADINGS
1258026 RB 585.00 $234.00
0.4
9/16/2010
ANALYSIS OF CHANGES TO EXCLUSIVITY MOTION AND RELATED EMAIL EXCHANGE AND
REVISED MOTION
1258027 RB 585.00 $117.00 0.2
9/16/2010
PREPARATION OF MOTION TO EXTEND PLAN EXCLUSIVITY AND RELATED PLEADINGS
1255171 TMA 485.00 $582.00 1.2
10/16/2010
PREPARATION OF DECLARATION OF NON-OPPOSITION ON PLAN EXCLUSIVITY MOTION
1266168 JPF 335.00 $67.00
0.2
10/16/2010
PREPARATION OF PROPOSED ORDER ON PLAN EXCLUSIVITY MOTION
1266169 JPF 335.00 $67.00 0.2
10/16/2010
ANALYSIS OF PLAN EXCLUSIVITY ISSUES
1269111 RB 585.00 $58.50 0.1
10/18/2010
PREPARATION OF DECLARATION OF JOHN-PATRICK M. FRITZ RE: RECEIPT OF NEITHER
OPPOSITION TO NOR REQUEST FOR HEARING ON DEBTORS MOTION TO EXTEND DEBTORS'
EXCLUSIVITY PERIODS FOR FILING PLANS OF REORGANIZATION; EFILE WITH COURT ECF
1266410 JK 195.00 $117.00
0.6
10/18/2010
PREPARATION OF ORDER EXTENDING DEBTORS' EXCLUSIVITY PERIODS FOR FILING PLANS OF
REORGANIZATION AND OBTAINING ACCEPTANCES THEREOF; UPLOAD ORDER WITH COURT LOU
SYSTEM
1266460 JK 195.00 $117.00 0.6
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CASE # 4367
Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/18/2010
ANALYSIS OF PLAN EXCLUSIVITY PLEADINGS
1271313 RB 585.00 $58.50 0.1
10/19/2010
ANALYSIS OF PLAN EXCLUSIVITY ORDER
1271400 RB 585.00 $58.50
0.1
10/27/2010
ANALYSIS OF PLAN EXCLUSIVITY ORDER
1272323 RB 585.00 $58.50 0.1
11/24/2010
PREPARATION OF EMAIL EXCHANGE RE: PLAN EXCLUSIVITY ISSUES
1281227 RB 585.00 $58.50 0.1
8.9
Total $3,210.50
OTHER LITIGATION 20 -
8/2/2010
ANALYSIS OF EMAILS RE LITIGATION MATTERS
1246549 RB 585.00 $58.50 0.1
8/2/2010
ANALYSIS OF MEDICAL WARNING LETTER
1246558 RB 585.00 $58.50
0.1
8/5/2010
EMAILS WITH CLIENT REPS AND OTHERS RE: EVANS V. WESTCLIFF
1249929 JLR 485.00 $48.50 0.1
8/5/2010
PREPARATION OF FORM RESPONSE RE DFEH ACTIONS FOR INSURANCE COUNSEL TO USE
1241136 TMA 485.00 $242.50 0.5
8/9/2010
ANALYSIS OF EVANS DFEH COMPLAINT AND EMAIL FROM RODNEY BROWN RE SAME
1241908 TMA 485.00 $48.50
0.1
8/11/2010
PREPARATION OF CORRESPONDENCE TO DFEH RE VIOLATION OF STAY AND STATUS OF
DISCOVERY IN PEDRO ACTION
1242800 TMA 485.00 $388.00 0.8
8/16/2010
ANALYSIS OF EMAILS RE LITIGATION MATTERS
1247186 RB 585.00 $58.50 0.1
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/24/2010
ANALYSIS OF CORRESPONDENCE FROM CORPORATE COUNSEL AND SPECIAL COUNSEL RE
PENDING DFEH ACTIONS AND RESPOND
1246767 TMA 485.00 $97.00 0.2
8/26/2010
ANALYSIS OF CORRESPONDENCE FROM DFEH RE GUERRA ACTION
1247926 TMA 485.00 $48.50
0.1
8/27/2010
PREPARATION OF CORRESPONDENCE TO DEPARTMENT OF FAIR EMPLOYMENT AND HOUSING
RE: STAY EXCEPTION OF 362(B)(4) INAPPLICABILITY
1248504 JPF 335.00 $167.50 0.5
8/30/2010
EMAILS WITH CLIENT REPS RE: DFEH V. DEBTOR; REVIEW OF COMPLAINT
1250658 JLR 485.00 $48.50 0.1
8/30/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT R. BROWN RE: ANSWERS TO DEPT. FAIR
EMPLOYMENT AND HOUSING LAWSUIT
1248915 JPF 335.00 $33.50
0.1
8/30/2010
TELEPHONE CONF. W/ CO-COUNSEL AT LEWIS BRISBOIS RE: 9019 MOTION FOR SETTLEMENT OF
PHYLLIS SUIT
1249116 JPF 335.00 $33.50 0.1
8/30/2010
PREPARATION OF CORRESPONDENCE TO CLIENT M. PAKKALA RE: 9019 MOTION FOR
SETTLEMENT OF PHYLLIS SUIT
1249154 JPF 335.00 $33.50 0.1
8/30/2010
PREPARATION OF 9019 MOTION FOR RIPLEY CLAIM
1249155 JPF 335.00 $402.00
1.2
8/30/2010
PREPARATION OF CORRESPONDENCE TO CO-COUNSEL AT LEWIS BRISBOIS RE: FINALIZING
RIPLEY 9019 MOTION
1249211 JPF 335.00 $33.50 0.1
8/30/2010
ANALYSIS OF EMAILS AND DOCUMENTS RE OUTSTANDING LITIGATION MATTERS
1250517 RB 585.00 $117.00 0.2
8/30/2010
ANALYSIS OF RIPLEY SETTLEMENT AGREEMENT AND RELATED EMAILS
1250522 RB 585.00 $117.00
0.2
8/31/2010
PREPARATION OF DECLARATION IN SUPPORT OF 9019 MOTION FOR SETTLEMENT WITH RIPLEY
1249747 JPF 335.00 $167.50 0.5
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/31/2010
PREPARATION OF 9019 MOTION AND DECLARATION ON SETTLEMENT AGREEMENT WITH RIPLEY
1249861 JPF 335.00 $134.00 0.4
8/31/2010
PREPARATION OF CORRESPONDENCE TO CLIENT M. PAKKALA RE: 9019 MOTION FOR APPROVAL
OF SETTLEMENT WITH RIPLEY
1249897 JPF 335.00 $33.50
0.1
8/31/2010
PREPARATION OF RIPLEY 9019 MOTION AND RELATED EMAIL EXCHANGE
1250550 RB 585.00 $175.50 0.3
9/1/2010
TELEPHONE CONF. W/ OPP COUNSEL AT DEPT OF FAIR EMPLOYMENT AND HOUSING RE:
AUTOMATIC STAY VIOLATION
1250049 JPF 335.00 $67.00 0.2
9/1/2010
PREPARATION OF CORRESPONDENCE TO OPPOSING COUNSEL AT DEPT. OF FAIR EMPLOYMENT
AND HOUSING RE: AUTOMATIC STAY VIOLATION, CONVERSATION, AND POTENTIAL FOR
CONTEMPT MOTION
1250091 JPF 335.00 $134.00
0.4
9/1/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT M. PAKKALA RE: EMPLOYMENT LAWSUITS BY
DFEH
1250095 JPF 335.00 $33.50 0.1
9/1/2010
PREPARATION OF CORRESPONDENCE TO CO-COUNSEL AT GORDON & REES RE: LIST OF
LAWSUITS BY DFEH FOR MOTION FOR CONTEMPT AND FINAL STAY LETTER
1250096 JPF 335.00 $33.50 0.1
9/1/2010
ANALYSIS OF MULTIPLE EMAILS RE OUTSTANDING LITIGATION ISSUES
1255031 RB 585.00 $117.00
0.2
9/1/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE DFEH ACTIONS AND STAY LETTERS AND
RESPOND
1250078 TMA 485.00 $97.00 0.2
9/1/2010
ANALYSIS OF CORRESPONDENCE MULTI RE STAY OF DFEH ACTIONS
1250147 TMA 485.00 $97.00 0.2
9/1/2010
ANALYSIS OF CORRESPONDENCE RE STAY OF ALL DFEH ACTIONS
1250313 TMA 485.00 $48.50
0.1
9/2/2010
ANALYSIS OF CORRESPONDENCE FROM CO-COUNSEL AT GORDON & REES RE: DFEH ACTION
1251097 JPF 335.00 $33.50 0.1
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Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/2/2010
PREPARATION OF CORRESPONDENCE TO CO-COUNSEL AT GORDON & REES RE: DFEH ACTION
1251098 JPF 335.00 $33.50 0.1
9/2/2010
ANALYSIS OF CORRESPONDENCE FROM CO-COUNSEL AT GORDON & REES RE: DFEH ACTION
1251099 JPF 335.00 $33.50
0.1
9/2/2010
PREPARATION OF CORRESPONDENCE TO CO-COUNSEL AT GORDON & REES RE: DFEH ACTION
1251100 JPF 335.00 $33.50 0.1
9/2/2010
ANALYSIS OF CORRESPONDENCE FROM CO-COUNSEL AT GORDON & REES RE: DFEH ACTION
1251101 JPF 335.00 $33.50 0.1
9/2/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT M. PAKKALA APPROVING MOTION FOR 9019
SETTLEMENT
1251103 JPF 335.00 $33.50
0.1
9/2/2010
PREPARATION OF NOTICE OF SETTLEMENT
1251107 JPF 335.00 $134.00 0.4
9/2/2010
PREPARATION OF MOTION, NOTICE, DECLARATION, AND EXHIBIT FOR FINAL FILING ON 9019
MOTION FOR RIPLEY SETTLEMENT
1251114 JPF 335.00 $167.50 0.5
9/2/2010
PREPARATION OF SERVICE LIST IN CORRESPONDENCE WITH PROCEDURAL DUE PROCESS FOR
9019 MOTION AND OPPOSING AND CO-COUNSEL
1251118 JPF 335.00 $33.50
0.1
9/2/2010
PREPARATION OF CORRESPONDENCE TO CO-COUNSEL R. BERBERIAN RE: RIPLEY 9019 MOTION
FILING AND STATUS
1251139 JPF 335.00 $33.50 0.1
9/2/2010
ANALYSIS OF RIPLEY 9019 MOTION
1255205 RB 585.00 $58.50 0.1
9/2/2010
EMAIL EXCHANGE WITH G&R COUNSEL RE DFEH ACTIONS AND APPLICATION OF STAY TO SAME
1251169 TMA 485.00 $97.00
0.2
9/9/2010
TELEPHONE CONF. W/ OPP COUNSEL J. MCMULLEN RE: STATUS OF DEPT. FAIR EMPLOYMENT
AND HOUSING LITIGATION
1253124 JPF 335.00 $33.50 0.1
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Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
9/9/2010
TELEPHONE CONFERENCE W/ CLIENT R. BROWN RE: STATUS OF DEPT. FAIR EMPLOYMENT AND
HOUSING LITIGATION
1253125 JPF 335.00 $33.50 0.1
9/9/2010
TELEPHONE CONF. W/ CO-COUNSEL J. MCMULLEN, SPECIAL LITIGATION COUNSEL RE: STATUS OF
DEPT. FAIR EMPL. & HOUSING LITIGATION STATUS
1253371 JPF 335.00 $33.50
0.1
9/17/2010
PREPARATION OF DECLARATION OF NON-OPPOSITION WITH EXHIBITS FOR 9019 MOTION TO
APPROVE SETTLEMENT WITH RIPLEY
1256023 JPF 335.00 $134.00 0.4
9/17/2010
PREPARATION OF PROPOSED ORDER ON 9019 MOTION FOR APPROVING SETTLEMENT WITH
RIPLEY
1256025 JPF 335.00 $67.00 0.2
9/27/2010
ANALYSIS OF ENTERED ORDER ON RIPLEY SETTLEMENT 9019 MOTION
1258725 JPF 335.00 $33.50
0.1
9/27/2010
ANALYSIS OF RIPLEY SETTLEMENT ORDER
1260837 RB 585.00 $58.50 0.1
10/12/2010
ANALYSIS OF CORRESPONDENCE FROM OCC AND CO-COUNSEL RE DISCOVERY ISSUES AND
RESPOND RE SAME AND CMS MOTION TO DISMISS
1264979 TMA 485.00 $97.00 0.2
10/14/2010
ANALYSIS OF BNY AND USCB SETTLEMENT STIPULATION AND RELATED EMAILS
1269005 RB 585.00 $58.50
0.1
10/25/2010
ANALYSIS OF EMAILS RE: FTC DISCOVERY ISSUES
1271543 RB 585.00 $58.50 0.1
10/26/2010
PREPARATION OF EMAIL EXCHANGE RE: LITIGATION MATTERS
1271554 RB 585.00 $58.50 0.1
10/27/2010
ANALYSIS OF MULTIPLE EMAILS RE: LITIGATION MATTERS
1272325 RB 585.00 $58.50
0.1
10/27/2010
PREPARATION OF THIRD PARTY DISCOVERY RESPONSE LETTER
1272326 RB 585.00 $58.50 0.1
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Page #
12/1/2010 104
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
10/27/2010
ANALYSIS OF ORDER APPROVING AFCO STIPULATION AND RELATED EMAILS
1272328 RB 585.00 $58.50 0.1
10/27/2010
PREPARATION OF FURTHER EMAIL EXCHANGE RE: LITIGATION MATTERS
1272341 RB 585.00 $117.00
0.2
10/29/2010
ANALYSIS OF MULTIPLE CORRESPONDENCE RE: THIRD PARTY SUBPOENAS
1272401 RB 585.00 $117.00 0.2
11/2/2010
ANALYSIS OF SUBPOENA AND LITIGATION MATTERS
1277246 RB 585.00 $58.50 0.1
11/3/2010
PREPARATION OF EMAIL EXCHANGE RE: LITIGATION MATTERS
1277685 RB 585.00 $58.50
0.1
11/8/2010
ANALYSIS OF CORRESPONDENCE FROM CLIENT RE THIRD-PARTY SUBPOENA ISSUES AND
RESPOND
1274660 TMA 485.00 $48.50 0.1
11/8/2010
PREPARATION OF CORRESPONDENCE TO LABWEST COUNSEL RE THIRD-PARTY SUBPOENA
ISSUES AND RESPOND
1274665 TMA 485.00 $48.50 0.1
11/11/2010
ANALYSIS OF DRAFT JOINT DEFENSE AGREEMENT
1278169 RB 585.00 $117.00
0.2
11/15/2010
CONFERENCE CALL WITH MULTIPLE PARTIES RE: POSSIBLE FTC LITIGATION AND CASE
PLANNING
1280933 RB 585.00 $234.00 0.4
11/15/2010
ANALYSIS OF EMAILS RE: JOINT DEF AGREEMENT WITH LABWEST
1280936 RB 585.00 $58.50 0.1
11/16/2010
ANALYSIS OF LABWEST COMPLAINT VS. FTC
1280949 RB 585.00 $234.00
0.4
11/22/2010
TELEPHONE CONFERENCE WITH GARFINKLE RE: LW LAWSUIT VS. FTC AND CASE PLANNING
1281212 RB 585.00 $175.50 0.3
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Page #
12/1/2010 105
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
11/29/2010
ANALYSIS OF LITIGATION FILES BEING COVERED BY ALVARADO SMITH AND CALL RE SAME
1280930 TMA 485.00 $145.50 0.3
11/30/2010
ANALYSIS OF COMPEX DOCUMENT REQUEST AND RESPOND
1281575 TMA 485.00 $48.50
0.1
14.0 Total $6,200.00
Stahl v. Advanced 40 -
8/27/2010
PREPARATION OF LETTER TO MEGAN ELSAN AT THE DEPT OF FAIR EMPLOYMENT AND HOUSING
1248532 JK 195.00 $39.00
0.2
0.2 Total $39.00
MISCELLANEOUS 99 -
8/19/2010
ANALYSIS OF EMAILS RE FTC INVESTIGATION INTO LC SALE
1247493 RB 585.00 $117.00
0.2
8/19/2010
TELEPHONE CONFERENCE WITH SITKO RE FTC INVESTIGATION INTO LC SALE
1247498 RB 585.00 $175.50 0.3
8/20/2010
PREPARATION OF EMAIL EXCHANGE RE FTC INVESTIGATION ISSUES
1247513 RB 585.00 $117.00 0.2
8/24/2010
PREPARATION OF CORRESPONDENCE TO MARC MARINACCIO, HOGAN LOVELLS US LLP, VIA
EMAIL AND OVERNIGHT MAIL ENCLOSING MORS FILED SO FAR IN BIOLABS/WESTCLIFF AND 7-
DAY PACKAGES PER MR. MARINACCIO'S REQUEST
1247036 LC 195.00 $175.50
0.9
8/24/2010
ANALYSIS OF EMAILS RE FTC INVESTIGATION
1250352 RB 585.00 $58.50 0.1
8/24/2010
ANALYSIS OF MTS NOTICE OF RESERVATION OF RIGHTS
1250377 RB 585.00 $58.50 0.1
8/26/2010
ANALYSIS OF MTS INDEMNIFICATION LETTER AND RELATED EMAILS
1250450 RB 585.00 $117.00
0.2
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Page #
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DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
8/26/2010
ANALYSIS OF EMAILS RE INSURANCE DISPUTES
1250462 RB 585.00 $58.50 0.1
8/29/2010
PREPARATION OF EMAIL EXCHANGE RE FTC INVESTIGATION INTO LC SALE AND RELATED
ISSUES
1250485 RB 585.00 $117.00
0.2
9/7/2010
TELEPHONE CONFERENCE WITH MATT RE PENDING FTC INVESTIGATION AND HIS UPCOMING
DEPO
1255343 RB 585.00 $175.50 0.3
9/7/2010
ANALYSIS OF PAKKALA EMAIL RE FTC INVESTIGATION
1255373 RB 585.00 $58.50 0.1
9/11/2010
PREPARATION OF EMAIL EXCHANGE RE: FTC INVESTIGATION ISSUES
1257715 RB 585.00 $58.50
0.1
9/25/2010
PREPARATION OF EMAIL EXCHANGE RE: ONGOING ROLE OF BOARD MEMBERS
1260787 RB 585.00 $175.50 0.3
9/27/2010
PREPARATION OF EMAIL EXCHANGE RE: ON GOING ROLE OF BOARD
1260817 RB 585.00 $117.00 0.2
10/11/2010
ANALYSIS OF EMAILS RE FTC INVESTIGATION ISSUES
1268108 RB 585.00 $58.50
0.1
10/29/2010
ANALYSIS OF EMAILS RE: PATIENT RECORDS
1272396 RB 585.00 $58.50 0.1
11/11/2010
CONFERENCE CALL WITH LUBIC AND MATT RE: FTC PROBLEMS WITH LAB WEST AND CASE
PLANNING
1278139 RB 585.00 $234.00 0.4
11/12/2010
PREPARATION OF EMAIL EXCHANGE RE: FTC DISPUTES AND PLANNING
1278184 RB 585.00 $175.50
0.3
11/12/2010
PREPARATION OF EMAIL EXCHANGE RE: GE AND FTC ISSUES
1278199 RB 585.00 $117.00 0.2
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
Page #
12/1/2010 107
DETAILED ACTIVITIES
8/1/2010
11/30/2010 To Date
From Date
11/15/2010
ANALYSIS OF FURTHER FTC ISSUES AND PLANNING; CONFERENCE RE: SAME
1280935 RB 585.00 $351.00 0.6
11/16/2010
ANALYSIS OF JOINT DEFENSE ISSUES WITH LAB CORP
1280945 RB 585.00 $58.50
0.1
11/16/2010
ANALYSIS OF FTC DIVESTITURE ISSUES
1280947 RB 585.00 $117.00 0.2
11/16/2010
ANALYSIS OF GE AND FTC ISSUES AND PREPARATION OF RELATED EMAIL EXCHANGE
1280950 RB 585.00 $58.50 0.1
11/17/2010
PREPARATION OF EMAIL EXCHANGE RE: JOINT DEFENSE AGREEMENT ISSUES WITH LABCORP
1280953 RB 585.00 $117.00
0.2
11/17/2010
TELEPHONE CONFERENCE WITH MATT RE: FTC ISSUES
1280954 RB 585.00 $175.50 0.3
11/18/2010
ANALYSIS OF FTC ISSUES AND RELATED EMAILS
1281187 RB 585.00 $175.50 0.3
6.2
Total $3,276.00
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ASSET ANALYSIS AND RECOVERY
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 8/1/2010 11/30/2010
INDIVIDUAL ACTIVITIES
12/1/2010 1 Page
01 -
JLR 485.00 $97.00 0.2
RB 585.00 $1,638.00 2.8
TMA 485.00 $145.50 0.3
Total Hours
3.3 Total Fees
$1,880.50
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ASSET DISPOSITION
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 8/1/2010 11/30/2010
INDIVIDUAL ACTIVITIES
12/1/2010 2 Page
02 -
AAF 415.00 $3,693.50 8.9
GDL 335.00 $335.00 1.0
JLR 485.00 $2,716.00 5.6
JPF 335.00 $2,981.50 8.9
RB 585.00 $2,691.00 4.6
TMA 485.00 $20,418.50 42.1
Total Hours
71.1 Total Fees
$32,835.50
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BUSINESS OPERATIONS
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 8/1/2010 11/30/2010
INDIVIDUAL ACTIVITIES
12/1/2010 3 Page
03 -
AAF 415.00 $1,245.00 3.0
JLR 485.00 $97.00 0.2
JPF 335.00 $435.50 1.3
RB 585.00 $9,184.50 15.7
TMA 485.00 $4,995.50 10.3
Total Hours
30.5 Total Fees $15,957.50
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CASE ADMINISTRATION
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 8/1/2010 11/30/2010
INDIVIDUAL ACTIVITIES
12/1/2010 4 Page
04 -
GDL 335.00 $100.50 0.3
JK 195.00 $936.00 4.8
JLR 485.00 $1,067.00 2.2
JPF 335.00 $67.00 0.2
LC 195.00 $3,529.50 18.1
PAG 540.00 $162.00 0.3
RB 585.00 $994.50 1.7
SR 195.00 $799.50 4.1
TMA 485.00 $8,924.00 18.4
TRISH 125.00 $281.25 2.3
Total Hours
52.4 Total Fees $16,861.25
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CLAIMS ADMIN. AND OBJECTIONS
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 8/1/2010 11/30/2010
INDIVIDUAL ACTIVITIES
12/1/2010 5 Page
05 -
GDL 335.00 $19,296.00 57.6
JK 195.00 $838.50 4.3
JLR 485.00 $10,573.00 21.8
JPF 335.00 $301.50 0.9
LC 195.00 $721.50 3.7
RB 585.00 $5,499.00 9.4
TMA 485.00 $9,700.00 20.0
Total Hours
117.7 Total Fees $46,929.50
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FEE / EMPLOYMENT APPLICATIONS
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 8/1/2010 11/30/2010
INDIVIDUAL ACTIVITIES
12/1/2010 6 Page
07 -
JK 195.00 $234.00 1.2
JLR 485.00 $533.50 1.1
JPF 335.00 $5,561.00 16.6
LC 195.00 $1,599.00 8.2
RB 585.00 $6,961.50 11.9
TMA 485.00 $9,942.50 20.5
Total Hours
59.5 Total Fees
$24,831.50
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FINANCING
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 8/1/2010 11/30/2010
INDIVIDUAL ACTIVITIES
12/1/2010 7 Page
09 -
JLR 485.00 $339.50 0.7
RB 585.00 $234.00 0.4
Total Hours
1.1 Total Fees $573.50
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RELIEF FROM STAY
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 8/1/2010 11/30/2010
INDIVIDUAL ACTIVITIES
12/1/2010 8 Page
10 -
JLR 485.00 $145.50 0.3
JPF 335.00 $134.00 0.4
LC 195.00 $19.50 0.1
RB 585.00 $760.50 1.3
TMA 485.00 $679.00 1.4
Total Hours
3.5 Total Fees $1,738.50
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PLAN AND DISCLOSURE STATEMENT
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 8/1/2010 11/30/2010
INDIVIDUAL ACTIVITIES
12/1/2010 9 Page
12 -
JK 195.00 $370.50 1.9
JLR 485.00 $48.50 0.1
JPF 335.00 $1,507.50 4.5
RB 585.00 $702.00 1.2
TMA 485.00 $582.00 1.2
Total Hours
8.9 Total Fees $3,210.50
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OTHER LITIGATION
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 8/1/2010 11/30/2010
INDIVIDUAL ACTIVITIES
12/1/2010 10 Page
20 -
JLR 485.00 $97.00 0.2
JPF 335.00 $2,211.00 6.6
RB 585.00 $2,340.00 4.0
TMA 485.00 $1,552.00 3.2
Total Hours
14.0 Total Fees $6,200.00
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Stahl v. Advanced
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 8/1/2010 11/30/2010
INDIVIDUAL ACTIVITIES
12/1/2010 11 Page
40 -
JK 195.00 $39.00 0.2
Total Hours
0.2 Total Fees $39.00
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MISCELLANEOUS
BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
SERVICE RENDERED FROM THROUGH 8/1/2010 11/30/2010
INDIVIDUAL ACTIVITIES
12/1/2010 12 Page
99 -
LC 195.00 $175.50 0.9
RB 585.00 $3,100.50 5.3
Total Hours
6.2 Total Fees $3,276.00
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
8/1/2010
11/30/2010
PROFESSIONAL ACTIVITY SUMMARY
12/1/2010
From Date
To Date
AAF 415.00
$4,938.50
11.9 @ Hours
GDL 335.00 $19,731.50 58.9 @ Hours
JK 195.00 $2,418.00 12.4 @ Hours
JLR 485.00
$15,714.00
32.4 @ Hours
JPF 335.00 $13,199.00 39.4 @ Hours
LC 195.00 $6,045.00 31.0 @ Hours
PAG 540.00
$162.00
0.3 @ Hours
RB 585.00 $34,105.50 58.3 @ Hours
SR 195.00 $799.50 4.1 @ Hours
TMA 485.00
$56,939.00
117.4 @ Hours
TRISH 125.00 $281.25 2.3 @ Hours
Total Hours 368.4 Total Fees $154,333.25
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BIOLABS, INC./WESTCLIFF MEDICAL
CASE # 4367
From Date
To Date
8/1/2010
11/30/2010
ACTIVITY SUMMARY
12/1/2010
DESCRIPTION
FEES
ASSET ANALYSIS AND RECOVERY $1,880.50
ASSET DISPOSITION $32,835.50
BUSINESS OPERATIONS $15,957.50
CASE ADMINISTRATION $16,861.25
CLAIMS ADMIN. AND OBJECTIONS $46,929.50
FEE / EMPLOYMENT $24,831.50
FINANCING $573.50
RELIEF FROM STAY $1,738.50
PLAN AND DISCLOSURE $3,210.50
OTHER LITIGATION $6,200.00
Stahl v. Advanced $39.00
MISCELLANEOUS $3,276.00
$154,333.25 TOTAL FEES
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EXHIBIT B
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EXHIBIT C
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
DAVID W. LEVENE, born March 24, 1945, New York, New York. A
founding partner of Levene, Neale, Bender, Yoo & Brill L.L.P.. Business
and Professional Experience: July, 1974 to Present, attorney specializing in
matters of bankruptcy, insolvency, business reorganization and commercial
fnancing. Education and Honors: University of Southern California, B.S.,
Business Administration, 1967; University of Southern California, M.B.A.,
fnance and marketing, 1968; Loyola University of Los Angeles, J.D. magna
cum laude, 1974. Bar Admissions: California, United States District Court
for the Southern, Central, Eastern and Northern Districts of California;
and U.S. Court of Appeals, Ninth Circuit. Professional Memberships and
Associations: Los Angeles County (past member: Executive Committee,
Commercial Law and Bankruptcy Section; Bankruptcy Subcommittee);
Past chair of Bankruptcy Section of Beverly Hills Bar Association; Federal
and American Bar Associations; The State Bar of California; Financial
Lawyers Conference; American Bankruptcy Institute; Commercial Law
League of America; and Turnaround Management Association. Guest
Lecturer: Frost & Sullivan, Inc., Loan Workouts, LBOs and Bankruptcy;
The Banking Law Institute, Loan Workout, Restructure and Bankruptcy;
Drexel Burnham Lambert, Chapter 11; Financial Lawyers Conference,
Fraudulent Conveyances; Los Angeles Bankruptcy Forum, Out of Court
Reorganizations; Orange County Bankruptcy Forum, Restructuring
Financially Troubled Businesses; Jewelers Board of Trade, Consignment
Issues in Bankruptcy; Turnaround Management Association, Case Study
on Representation of Debtor in Out of Court Workouts and Chapter 11;
National Conference of the Turnaround Management Association, Gaining
Confdence of Lenders and Creditors in Workouts and Restructurings;
Young Presidents Organization National Conference, Acquisition and
Investment Opportunities in Bankruptcy Reorganization Cases; The
Counselors of Real Estate Convention, Chapter 11 and the Role of the
Real Estate Advisor; Association of Insolvency Accountants: Valuation
Conference, Valuation Issues in Chapter 11 Cases, Moderator of seminar
on Workouts sponsored by Orange Country Bankruptcy Forum, Role of
Appraisers in Bankruptcy & Reorganization Cases presented at convention
of American Society of Appraisers, and guest lecturer on Workouts and
Restructuring presented nationally by Fulcrum Information Services. Twice
continued... pg 1 of 2
Professional Resume
David W. Levene
dwl@lnbyb.com
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Professional Resume
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
David W. Levene
included in annual list of 100 most prominent business attorneys practicing
in Los Angeles County in Los Angeles Business Journals annual list of
Whos Who in Law and Accounting. Repeatedly listed as a Southern
California Super Lawyer in annual polls of his peers.
pg 2 of 2
continued from page 1
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
David L. Neale
dln@lnbyb.com
DAVID L. NEALE began his legal career in New York, with the law frm of
Kramer, Levin, Nessen, Kamin & Frankel, where he represented creditors
and creditors committees in large, complex cases such as Texaco Inc.,
LTV Steel and Charter Co. When Mr. Neale relocated to California in
1989, to join the law frm of Levene & Eisenberg, he brought with him an
understanding of creditors rights and remedies that he was able to apply
to the representation of debtors and other constituencies in bankruptcy and
workout situations.
His broad experience includes handling cases in a variety of areas
including: Manufacturing (successful Chapter 11 reorganization for
companies such as Future Media Productions, a manufacturer of blank
CDs and DVDs; California Aircraft & Engines, Inc., a manufacturer of
aircraft engine parts with claimants from around the world; DCC Compact
Classics, Inc., a manufacturer of specialty CDs and recordings; Fernandes
Guitars, a manufacturer of electric and acoustic guitars for distribution
around the world); the food and beverage industry (Chinois Restaurant,
successful Chapter 11 reorganization for a Las Vegas restaurant; Caf-
Melisse Valencia, successful out-of court workout and orderly liquidation;
Galletti Brothers Foods, successful Chapter 11 reorganization for one of
the nations largest fresh seafood wholesalers); Construction (successful
Chapter 11 reorganization for Rock & Waterscape, Inc., builder of water-
themed features in Las Vegas and around the world); Real estate
(successful Chapter 11 cases for North Silver Lake Lodge, LLC, involving
one of the last undeveloped parcels of real property in the Deer Valley, Utah
ski resort area; IDM Corporation and its affliates requiring the restructuring
of over $1 billion in debt; and Galletti Brothers Investments, a real estate
partnership with multiple properties. He has also represented Ritter Ranch
Development, the owner of an 11,000 acre development property in
Palmdale; and National Enterprises, Inc. and San Diego Investments, real
estate management and development companies with properties across the
United States); Energy (representing the California Independent System
Operator Corporation in connection with the bankruptcy cases of California
Power Exchange, Pacifc Gas & Electric Co., Enron Inc. and Mirant and its
affliates); Banking and fnance (Imperial Credit Industries, Inc.); Trucking
(Consolidated Freightways and its affliates, in which Mr. Neale
represented multi-employer pension funds that were the largest creditors
continued... pg 1 of 3
Professional Resume
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Professional Resume
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
David L. Neale
and went on to represent the post-confrmation Plan Oversight Committee
and serve as special counsel to the Liquidating Trust in certain litigation and
appellate matters, and The Penn Traffc Co. and its affliates, in which Mr.
Neale represented certain multi-employer retirement, health and welfare
funds); Technology and communication (WCI Cable, Inc., a fber optic
cable network located in Oregon and Alaska); and Retail (successful
Chapter 11 cases for Ortho Mattress, Inc., a manufacturer and retailer
of bedding products; Britches of Georgetowne, Inc., a clothing retailer
with outlets in several states). Mr. Neale has a particular expertise in the
entertainment industry. He has represented clients involved in publishing
(New Millennium Entertainment, Buzz Magazine); flm exhibition (Resort
Theaters of America); flm production (Franchise Pictures, LLC and its
affliates); The Samuel Goldwyn Company in connection with its acquisition
of Heritage Entertainment); and artists (Gladys Knight, Mick Fleetwood,
Lynn Redgrave, among others).
Mr. Neale is both an experienced and aggressive litigator whose cases
have resulted in several notable published opinions, and a seasoned
negotiator who brings his skills to bear as a member of the Mediation
Panel for the Bankruptcy Court for the Central District of California. He
is a Member of the American Bar Association, Association of the Bar of
the City of New York, New York County Bar Association, Century City Bar
Association, Beverly Hills Bar Association, Financial Lawyers Conference,
Association of Trial Lawyers of America, Turnaround Management
Association, and the Commercial Law League of America. Mr. Neale serves
on the Board of Directors of the Financial Lawyers Conference and AIDS
Project Los Angeles.
Mr. Neale received his B.A., Summa Cum Laude from Princeton University
in 1984 and his J.D. from Columbia University School of Law in 1987.
He was admitted to the New York Bar in 1988 and the California Bar in
1989. He was admitted to the Ninth Circuit Court of Appeals in 1989, and
was admitted to the United States District Court for the Southern and
Eastern Districts of New York in 1988. In 1989, he was admitted to the
Central, Eastern, Northern and Southern Districts of California. He has also
practiced extensively in courts around the country, in venues as diverse
as Oregon, Arizona, Nevada, Texas, Arkansas, Utah, Florida, New York,
Deleware and Tennessee.
pg 2 of 3
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
David L. Neale
Mr. Neale is the author of Bankruptcy and Contractual Relations in the
Entertainment Industry An Overview, 1990 Entertainment, Publishing
and the Arts Handbook; A Survey of Recent Bankruptcy Decisions
Impacting upon the Entertainment Industry, 1992 - 1993 Entertainment,
Publishing and the Arts Handbook; SEC Actions and Stays, National
Law Journal, 2002; and The Scope and Application of 11 U.S.C. 1145,
American Bankruptcy Institute Bankruptcy Battleground West, 2003. He
was featured as a Mover & Shaker by The Deal magazine in 2006, and
has been interviewed several times by, among others, KNX news radio in
Los Angeles, Variety magazine and the California Real Estate Journal on
bankruptcy topics.
Mr. Neale has appeared as a speaker on the following topics before
the following organizations: Making the Best Better: Lessons From the
Battlefeld, Turnaround Management Association 6th Annual Spring
Meeting, 1998; Litigation Issues in Bankruptcy, Business Torts - An
Introduction and Primer, Consumer Attorneys Association of Los Angeles,
1998; There Must Be Fifty Ways to Leave Your Troubles, Turnaround
Management Association, 1998; The Impact of State Court Decisions in
Bankruptcy Court, Beverly Hills Bar Association, 2001. He has appeared as
a panelist, addressing issues relating to Bankruptcy in the Dot-Com
Economy and Licensing Agreements: How to Draft and Enforce Them for
Law.Com Seminars; Public Company Debtors and the SEC, American
Bankruptcy Institute Bankruptcy Battleground West, 2003; The 2005
Amendments to Bankruptcy Code Sections 546(c) and 547 The Early
Returns, Financial Lawyers Conference, 2008; and Transfers of
Intellectual Property, Southwestern Law School, Bankruptcy in the New
Millennium, 2010.
Mr. Neale has consistently been named by Los Angeles magazine as one of
its 100 Super Lawyers in the bankruptcy feld.
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LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
521%(1'(5 is is a founding and co-managing partner of the frm. With
a large and diverse practice, Mr. Bender has successfully reorganized and
sold numerous companies and restructured the fnancial affairs of many
individuals. Mr. Bender is widely regarded as a highly creative, results
oriented bankruptcy attorney who is able to tackle complex problems and
develop and implement creative solutions. Mr. Bender has repeatedly
been listed by "Super Lawyers" as one of the top 100 lawyers in Southern
California in regional surveys of his peers. Mr. Bender received his
undergraduate degree in Finance from the prestigious Wharton School of
Business at the University of Pennsylvania in 1986 where he graduated
frst in his class (B.S., summa cum laude), and then obtained his law
degree from Stanford University Law School in 1989. During law school,
Mr. Bender served as a judicial extern for the Honorable Lloyd King, U.S.
Bankruptcy Court, Northern District of California Bankruptcy Court. Since
graduating from law school, Mr. Bender has worked solely in the areas of
bankruptcy, insolvency and business reorganization, and has developed
one of the largest bankruptcy practices in Southern California, including the
representation of debtors, creditors committees, creditors, and purchasers
of businesses. Mr. Benders incredibly broad Chapter 11 debtor experience
includes the representation of Fat Burger (a chain of hamburger restaurants
located in California and Nevada whose Chapter 11 bankruptcy cases
are currently pending); Westcliff Medical Laboratories (an owner and
operator of 170 patient service center laboratories and labs throughout
California with $95 million of annual revenue and 1,000 employees which
was recently sold for $57.5 million); LifeMasters Supported Selfcare (a
national disease management company with annual revenue of $80 million
which was sold); Bodies in Motion (a chain of ftness facilities which was
sold for approximately $10 million); Small World Toys (a toy company
which was sold for approximately $16 million); Intervisual (a childrens
book company which was sold for approximately $10 million); LightPointe
Communications (a manufacturer of wireless networking equipment which
successfully reorganized); Nicola (a large olive importer and distributor
which successfully reorganized); Krispy Kreme (an owner and operator of
Krispy Kreme Doughnut Stores which successfully reorganized); Pleasant
Care (an owner and operator of skilled nursing facilities with annual revenue
of approximately $200 million which was sold for approximately $17 million);
continued... pg 1 of 3
Professional Resume
Ron Bender
rb@lnbyb.com
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
Ron Bender
Aura Systems (a publicly traded manufacturer of a mobile power generator
which successfully reorganized); Sega GameWorks (a retail entertainment
based company operating under the name of "GameWorks," with $60
million of annual revenue, which was sold for approximately $8 million);
Alliant Protection Services, (a commercial and residential alarm services
company with 16,000 customers, which was sold for $14.5 million); The
Walking Company (a national chain of 101 retail stores selling specialty
shoes and footwear, which successfully reorganized involving $22 million
of cash, debt and stock); Shoe Pavilion (a chain of 117 retail stores
selling off-price footwear with locations in the Western and Southwestern
United States which was sold); Gadzoox Networks (a publicly traded
company engaged in the business of providing networking infrastructure
for storage and data management, where one division was sold for $8.5
million and the balance of the company successfully reorganized); State
Line Hotel, State Line Casino, Jims Enterprises (two hotels and casinos
located in West Wendover, Nevada known as the State Line Hotel and
Casino and the Silver Smith Hotel and Casino, which were sold for $55
million); Management Action Programs (a management consulting frm that
successfully reorganized); Easyrider and Paisano Publications (publicly
traded publishers of thirteen national magazines, which were sold for $12.3
million); Clifford Electronics (a manufacturer of automotive aftermarket
and original equipment manufacturer security systems and components,
primarily for automobiles, with annual sales of $40 million, which was sold
for $20 million); Chorus Line Corporation and California Fashions Industries
(one of the largest apparel companies in the country with annual sales of
$500 million which engaged in a Chapter 11 liquidation); Avus (a distributor
of computer systems with sales of in excess of $100 million, which was
sold); A.J. Markets (chain of supermarkets sold for $5 million); Trancas
Town (owner of 35 acres of raw developable land in Malibu, California
that successfully reorganized); Association of Volleyball Professionals
(professional beach volleyball league sold in Chapter 11); Louises Trattoria
(chain of 16 Italian food restaurants with $30 million in annual revenue sold
in Chapter 11 for $7 million); Westward Ho Markets (a supermarket chain
with $50 million of annual revenue and $20 million of debt which
was restructured through a confrmed Chapter 11 reorganization plan);
continued... pg 2 of 3
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
Ron Bender
Special Effects Unlimited (one of the largest providers of special effects in
the movie industry which was restructured through a confrmed Chapter
11 reorganization plan); Santa Barbara Aerospace (a heavy aircraft
maintenance facility located at the former Norton Air Force base in San
Bernardino, California, which was restructured and sold); Manchester
Center (a 1.5 million square foot shopping center in Fresno, California
which was sold for $25 million); Marbella Golf and County Club (a golf
and country club located in San Juan Capistrano which successfully
reorganized); Southwest Hospital (an acute care hospital located in
Riverside which successfully reorganized); Servall Packaging Industries
(a contract packaging company which was sold); Polaris Networks (a
telecommunications networks and software company which successfully
reorganized); and Prestige Products (a distributor of aftermarket automobile
accessories which was sold). A sampling of Mr. Benders representation of
creditors committees includes the representation of the creditors committee
in the Chapter 11 bankruptcy case of Trigem America (a wholly-owned
subsidiary of one of the largest computer manufacturers in the world located
in Korea whose case is currently pending) and Robinson Golf Holdings (the
owner of a large golf resort development project).
pg 3 of 3
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
7,027+<<22specializes in commercial litigation and bankruptcy and
is known for resolving diffcult issues with creativity and effciency. He
consistently earns the highest marks in peer surveys, including an AV
rating by Martindale-Hubbell and being designated repeatedly as a Super
Lawyer. He received his undergraduate degree in business from University
of Southern California with honors in 1987 and his law degree from Loyola
Law School with full merit scholarship in 1991. He completed a one-year
clerkship with the Honorable Lisa Hill Fenning, U.S. Bankruptcy Judge for
the Central District of California. n March, 1998, he was appointed to the
Panel of Chapter 7 Bankruptcy Trustees. He also acts in numerous cases
as a Chapter 11 Trustee, Bankruptcy Ombudsman, Liquidating Trustee and
Chief Restructuring Offcer.
pg 1 of 1
Professional Resume
Timothy Yoo
ty@lnbyb.com
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LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
Martin J. Brill
mjb@lnbyb.com
MARTIN J. BRILL. Mr. Brill has devoted his over 35 years of practice
exclusively to bankruptcy, insolvency and business reorganizations, with
particular emphasis on complex reorganizations of publicly-held companies
in a wide range of industries. Mr. Brill's expertise in the interplay between
bankruptcy and securities laws has led to the successful reorganization of
numerous publicly-held corporations and privately-held corporations desiring
to go public, including Prism Entertainment Corporation (involving a reverse
merger of the publicly-held flm producer, Prism, with a privately-owned
video retailer), Geo Petroleum, nc., (successful Chapter 11 of publicly-held
oil and gas company), Video City, nc., (successful Chapter 11 for video
retailer with over 75 locations involving issuance of securities for debt), and
American Blood nstitute, nc. (successfully raised over $1.2 million through
complex debtor fnancing, allowing company to emerge as publicly-held
plasma company, SeraCare, nc.). Mr. Brill also has represented debtors,
creditors, trustees, plan proponents, asset purchasers and creditors
committees in a wide variety of diverse chapter 11 reorganization cases. For
example, Mr. Brill was lead counsel in representing the chapter 11 debtor
in Gateway Computer Systems (a multi-store retailer of computers and
related equipment), the chapter 11 debtor in Primedex Health Systems, nc.
(successful pre-packaged plan confrmed in less than 45 days for diagnostic
imaging company), 360 Global Wine Company and 360 Viansa, LLC
(publicly held holding company and its operating wholly-owned subsidiary
in the winery business in Sonoma, California), Agua Dulce Vineyards,
LLC (operating vineyard and winery in Los Angeles County), Copper King
Mining Corporation and Western Utah Mining Company (public holding
company and its wholly-owned operating subsidiary in the copper mining
business), as well as the chapter 11 debtors in the hospital reorganization
cases for Chino Valley Medical Center, Canyon Ridge Hospital, Lincoln
Hospital Medical Center and the offcial creditors committees in Fields
Aircraft Spares, nc. (aircraft parts distributor), New Star Media, nc.
(publishing company), Henry Mayo Newhall Memorial Hospital (hospital),
Daewoo Motor America, nc. (Daewoo automobile distributor in the U.S.),
ntercare Health Systems, nc., Vista Hospital Systems, nc. and Downey
Regional Medical Center (hospitals), Ronco Corporation and Ronco
Marketing Corporation (consumer products and marketing), and T-Asset
continued... pg 1 of 2
Professional Resume
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
Martin J. Brill
Acquisition Corporation and its related entities (the owner of the Terminator
flm franchise). n addition, Mr. Brill has also handled numerous out-of-
court workouts and restructurings, including the successful out-of-court
debt restructuring for Carolco Pictures, nc. Mr. Brill was admitted to the
California Bar in 1972. His educational background is as follows: University
of California at Los Angeles (B.A., cum laude, 1969; J.D., 1972). Associate
Editor U.C.L.A. Law Review, 1971-1972. Co-Author: Collective Bargaining
and Politics in Public Employment, 19 U.C.L.A. Law Review 887, 1972.
He is a member of the State Bar of California and a member of the Beverly
Hills, Century City, Los Angeles County (Member, Sections on: Commercial
Law; Bankruptcy) and American Bar Associations. He is currently serving
on the Executive Committee of the Bankruptcy Section of the Beverly Hills
Bar Association (Chairman from 2002-2003) and served on the Board of
Directors of the Los Angeles Bankruptcy Forum. He is a member of the
Financial Lawyers Conference and has lectured to various trade groups and
bar associations on bankruptcy and related topics.
pg 2 of 2
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
DAVID B. GOLUBCHIK, born Kiev, Ukraine, January 10, 1971; admitted to
bar 1996, California. Education: University of California, Los Angeles (B.A.
1992), Pepperdine University School of Law (J.D., 1996). Vice Chairman,
Moot Court Board; Vice Magistrate, Phi Delta Phi nternational Legal
Fraternity; American Jurisprudence Award in Business Reorganization
in Bankruptcy. n addition to the State Bar of California, admitted to the
U.S. District Court, Central, Southern, Eastern and Northern Districts of
California. Law Clerk to the Honorable Thomas B. Donovan, United States
Bankruptcy Court, Central District of California (1996-1997). Member,
American, California and Los Angeles Bar Associations, American
Bankruptcy nstitute (Board of Advisors), Financial Lawyers Conference, Los
Angeles Bankruptcy Forum and Beverly Hills Bar Association (Executive
Committee). Practice emphasizes bankruptcy, corporate insolvency and
creditors' rights. Language: Russian.
Articles written by David Golubchik include: Representing Closely Held
Corporations in Bankruptcy: The Ethical Dilemma, Commercial Lawyers'
Association Conference, November 1999; Bankruptcy Law A Debtor's
Press Release, National Law Journal, May 29, 2000; Taking a Piece of
the Action in Bankruptcy, Bay Area Bankruptcy Forum Conference, June
6, 2000; Bankruptcy Law Unwinding Settlements, National Law Journal,
October 23, 2000; Bankruptcy Law nvoluntary Proceedings, National
Law Journal, February 2, 2004; The Rights Of A Lessee n A Lessor's
Bankruptcy: Section 365(h) Of The Bankruptcy Code, Los Angeles
Country Bar Association, Real Estate Subsection, March 25, 2004; and
Defending Nondischargeability Actions in Bankruptcy, Public Counsel,
2002-2004; Outlooks and Strategies For Distressed Commercial Real
Estate Loans, Grubb and Ellis presentation, May 14, 2009; Chapter 11
Focus: Small Business and Single Asset Real Estate Cases, Los Angeles
Country Bar Association, Commercial Law and Bankruptcy Subsection,
January 27, 2010.
pg 1 of 1
Professional Resume
David B.
Golubchik
dbg@lnbyb.com
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LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
EDWARD M. WOLKOWITZ has focused on the areas of insolvency and
commercial law during more than 30 years of practice. He has represented
debtors, creditors, trustees, receivers and creditors committees in a wide
variety of cases. He also serves as a chapter 11 and chapter 7 panel
trustee in the Central District of California and as a receiver for the Los
Angeles Superior Court. He has extensive experience in representing
various interests in complex reorganization cases in a number of different
and diverse industries and has also operated a number of businesses as
a trustee and receiver. He has been involved in a number of cases that
have made new law or clarifed existing law in the Ninth Circuit, including:
Wolkowitz v. FDC, 527 F. 3d 959 (9th Cir. 2008); Wolkowitz v. Beverly, 551
F. 3d 1092 (9th Cir. 2008); n re Sylmar Plaza, LP, 314 F.3d 1070 (9th Cir.
2002); Wolkowitz v. American Research Corporation, 131 F.3d 788 (9th Cir.
1999); n re Moses, 167 F.3d 470 (9th Cir. 1999); Wolkowitz v. Shearson
Lehman Bros., 136 F.3d 655, cert. denied, 525 U.S. 826 (1998); n re
Cheng, 943 F.2d 1114 (9th Cir. 1991); n re Qintex Entertainment, 950 F.2d
1492 (9th Cir. 1991); n re WLB_RSK Venture, 296 B.R. 509 (Bankr. C.D.
Cal. 2003).
Mr. Wolkowitz was on the faculty of Southwestern University Law School
from 1978 to 1994, rejoining the faculty in 2001, teaching courses in
bankruptcy, commercial transactions and business reorganization. He has
also lectured extensively for the California Continuing Education of the
Bar, and as a panelist in programs sponsored by the American Bankruptcy
nstitute, the Los Angeles Bankruptcy Forum, and the Beverly Hills Bar
Association. Between 1994 and 2002, he served as a member of the City
Council of Culver City, California, including two one-year terms as Mayor of
Culver City.
Mr. Wolkowitz was admitted to the California Bar in 1976. His educational
background is as follows: California State University, Northridge , (B.A.,
1971); Southwestern University Law School (J.D., cum laude, 1975); The
University of Michigan Law School (LL.M., 1976). His publications include:
Debtors Have New Weapons Against nvoluntary Bankruptcy, Journal
of Corporate Renewal 12 (December 2007); Bankruptcy and Family
continued... pg 1 of 2
Professional Resume
Edward M.
Wolkowitz
emw@lnbyb.com
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
Edward M. Wolkowitz
Law: A Marriage of rreconcilable Differences, 24 B.H. Bar J. 83 (1990);
nsolvency and Bankruptcy, (Chapter 7) California Family Law Service,
Bancroft-Whitney (1986); Legislative Analysis--Land Use Proposals, 8
Southwestern University Law Review 216 (1976); Land Use Controls: s
there a Place For Everything, 6 Sw.U.L.Rev. 607 (1974). He is a member
of the State Bar of California, the American Bar Association, Los Angeles
County Bar Association, the Los Angeles Bankruptcy Forum, the Financial
Lawyers Conference and the National Association of Bankruptcy Trustees.
He has served as President and Vice President of the Los Angeles
Bankruptcy Forum; the Editorial Board of the California Bankruptcy Journal;
and, the Executive Committee of the Board of Governors of the Financial
Lawyers Conference.
pg 2 of 2
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
BETH ANN R. YOUNG, born Santa Monica, California, June 30, 1964;
admitted to bar December, 1989, California. Admitted to the United
States District Court, Central, Eastern, Northern and Southern Districts
of California and the United States Court of Appeals for the Ninth Circuit.
Education: University of California at Los Angeles (B.A., 1986); Loyola
Law School (J.D., 1989). Member: California Bar Association, American
Bar Association, Los Angeles County Bar Association, Century City Bar
Association, Financial Lawyers' Conference and Los Angeles Bankruptcy
Forum. Reported Decisions include: San Paolo U.S. Holding Company v.
816 South Figueroa Company (1998) 62 Cal. App. 4th 1010, 1026; and
Ziello v. First Federal Bank (1995) 36 Cal. App. 4th 321, 42 Cal. Rptr. 2d
251. Presenter: Domestic Partnerships in California: mportant New Rules
Affecting Creditors, October, 2004.
pg 1 of 1
Professional Resume
Beth Ann R.
Young
bry@lnbyb.com
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LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 WWW.LNBYB.COM
Monica
Young Kim
myk@lnbyb.com
MONICA YOUNG KIM was admitted to the California Bar in 1995, after
graduating from the University of California at Berkeley (B.A., 1991) and
Hastings College of the Law (J.D., 1995). She was a Law Clerk to the
Honorable Jane Dickson McKeag, U.S. Bankruptcy Judge, Eastern District
of California, 1995-96. Ms. Kim has worked solely in the areas of bankruptcy,
insolvency and business reorganization, and commercial and real estate
transactions, representing debtors, creditors committees, creditors, sellers,
and purchasers. She joined Levene, Neale, Bender, Yoo & Brill L.L.P. in 1996,
and became a partner in 2004.
Ms. Kim is also involved in out-of-court restructuring transactions, including
assignments for creditors, representing sellers/assignors, assignees and
buyers. Her experience has included representation in retail, healthcare,
entertainment, manufacturing, real estate, service and technology. She has
been named to the Rising Star listing of Southern California attorneys each
year since 2005, in annual surveys of her peers. Ms. Kim is a member of the
American Bar Association, Los Angeles County Bar Association, Century
City Bar Association, Women Lawyers Association of Los Angeles, and the
Korean American Bar Association, and is admitted to the Central, Eastern,
Northern and Southern Districts of California.
Professional Resume
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
PHILIP A. GASTEIER'S more than 30 years of practice has included
a broad range of bankruptcy and insolvency representation, including
Chapter 11 debtors, trustees in Chapter 7 and Chapter 11 cases, creditors,
committees, buyers, landlords and parties to executory contracts,
with particular emphasis on complex reorganizations and structuring
transactions.
n his frst decade of practice in Philadelphia, Mr. Gasteier successfully
represented landlords and purchasers of leasehold interests in large
cases such as Food Fair and Lionel, and participated in preparation of
materials for presentation to Congress in connection with hearings leading
to the Shopping Center Amendments to the Bankruptcy Code in 1984. He
counseled extensively in connection with insolvency and bankruptcy aspects
of commercial leases for shopping centers and retail chains, and authored
Shopping Centers As Utilities Under the Bankruptcy Code, Shopping
Center Legal Update, Summer, 1983. Mr. Gasteier also provided insolvency
counseling in connection with bond and other securities transactions. Mr.
Gasteier was involved in representation of creditor or equity committees in
matters including Franklin Computer, Manson-Billard ndustries and Monroe
Well Service, nc. Debtor representation included Motor Freight Express, a
multi-state motor carrier, and Dublin Properties.
Mr. Gasteier's practice in Los Angeles has included entertainment and
other intellectual property matters, such as Fries Entertainment, nc.,
Qintex Entertainment, nc., and Hal Roach Studios, nc. where he was
primarily responsible for structuring and confrming chapter 11 plans, as
well as representation of Carolco Pictures, nc. and Paramount Studios.
He has provided specialized insolvency counseling and litigation support in
connection with numerous transactions, licenses and other entertainment
contracts. Mr. Gasteier argued n re: Qintex Entertainment, nc., 950 F.2d
1492 (9th Cir. 1991) to the Ninth Circuit U.S. Court of Appeals, a principal
case establishing the executory contract analysis applicable to copyright
licenses, and determining that participation rights constitute unsecured
claims. Other debtor representation has included Currie Technologies nc.;
Wavien, nc; Ocean Trails L.P.; Superior Fast Freight, nc.; and B.U.M.
continued... pg 1 of 2
Professional Resume
Philip A.
Gasteier
pag@lnbyb.com
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LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
Philip A. Gasteier
nternational, nc. Mr. Gasteier has been involved in creditor committee
representation in cases such as House of Fabrics, California Pacifc
Funding, Ltd., Condor Systems, nc. and Chase Technologies, nc.
Mr. Gasteier is a graduate of the Law School of the University of
Pennsylvania (J.D. 1977) and the Ohio State University (B.A. 1974). He
was admitted to the Pennsylvania Bar in 1977 and to the California Bar in
1987. He is also a member of the bar of the United States District Court,
Central, Eastern and Northern Districts of California; the U.S. District Court,
Eastern District Court of Pennsylvania, and the Ninth and Third Circuit
Courts of Appeals. He is a member of the American Bankruptcy nstitute,
the American Bar Association, the State Bar of California, the Century City
Bar Association, the Financial Lawyers Conference and the Los Angeles
County Bar Association, where he served as a member of the Bankruptcy
Sub-Committee of the Section on Commercial Law and Bankruptcy from
(1990-1992). He has been active in civic affairs, and is a past President
(2008-2009), Vice President (2006-2008) and Board Member (2004-2009) of
the Greater Griffth Park Neighborhood Council, an offcial body of the City
of Los Angeles.
pg 2 of 2
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LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
DANIEL H. REISS, a partner at Levene, Neale, Bender, Yoo & Brill L.L.P.
(LNBYB), has specialized in the area of bankruptcy and insolvency for
over two decades. Before entering the legal feld, Mr. Reiss started his
professional career at KPMG (then Peat, Marwick and Mitchell) and became
a Certifed Public Accountant specializing in tax structuring in mid-market
and entrepreneurial businesses. Mr. Reiss graduated from California State
University, Northridge, summa cum laude, B.S., Business Administration
in 1984. Mr. Reiss's business education and background is of signifcant
importance in dealing with the complex fnancial issues facing distressed
business situations.
Armed with practical business knowledge, Mr. Reiss decided to pursue a
career in law and graduated in 1990 from Loyola University Law School
where he was a staff writer and notes editor of the Law Review, president
of Phi Delta Phi legal honor fraternity, and was a member of the St. Thomas
More Honor Society.
Mr. Reiss joined LNBYB in November 2000. Mr. Reiss is a member of
the executive committee of the Bankruptcy Section of the Beverly Hills
Bar Association, and is a member of the Los Angeles Bankruptcy Forum,
Financial Lawyers Conference and the Los Angeles County Bar Association.
He was honored in as a Super Lawyer 2006, 2007, and 2010 Super
Lawyer in a region-wide survey, an honor bestowed on only 5% of Southern
California attorneys.
Mr. Reiss's bankruptcy experience extends to cases and distressed
situations involving public utilities, healthcare, retail, aviation, hospitality, real
estate, bio-tech and general manufacturing. Mr. Reiss regularly represents
debtors, creditor committees, secured creditors, bankruptcy trustees and
buyers of distressed assets and companies. Mr. Reiss is a frequent speaker
before trade and legal groups, and is a nationally published author on
bankruptcy issues.
continued... pg 1 of 2
Professional Resume
Daniel H. Reiss
dhr@lnbyb.com
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Professional Resume
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
Daniel H. Reiss
Mr. Reiss's published articles include:
Bankruptcy Battlegrounds in Franchising, Franchise Law nsider, 3rd
Quarter 2005
Assignment of Leases, National Law Journal, Winter 2006
'Travelers Cas.' Part , National Law Journal, Winter 2007.
Single-Asset Real Estate, National Law Journal, Summer 2008.
D&O Moves to the Forefront in Bankruptcy Cases, National Law Journal,
Summer 2009.
Protecting nterests in the Event of Tenant Bankruptcies, National Law
Journal, Spring 2010.
Mr. Reiss's speaking engagements include:
Franchise ssues in Bankruptcy, Spring, 2004, Franchise Business
Network.
Hostile Takeovers in Bankruptcy Cases, Credit Managers Association.
Bankruptcy Battlegrounds in Franchising, Fall, 2009, Southern California
Franchise Business Network.
Directors and Offcers Litigation in Bankruptcy, Spring, 2008, Turnaround
Management Association and Beverly Hills Bar Association.
Healthcare Business Bankruptcies, Spring 2009, Los Angeles County Bar
Association, Healthcare Law and Commercial Law And Bankruptcy Sections
pg 2 of 2
continued from page 1
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Main Document Page 214 of 230
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
TODD A. FREALY, a partner of the frm, represents Chapter 7 trustees
throughout Southern California in all aspects of case administration and
litigation. Mr. Frealy also represents banks, landlords and other creditors
in contested Chapter 11 cases and adversary proceedings. Mr. Frealy
is a graduate of Southwestern University School of Law (J.D. 1998) and
the University of California, Los Angeles (B.A. 1995). During law school
he was an extern to the Honorable Mitchel R. Goldberg and Honorable
Arthur M. Greenwald, U.S. Bankruptcy Judges for the Central District of
California. After law school, he clerked for the Honorable David N. Naugle,
U.S. Bankruptcy Judge, Central District of California, Riverside Division
(1998-2000). Mr. Frealy is a member of the Board of Directors for the nland
Empire Bankruptcy Forum and was formerly a member of the Southwestern
University School of Law Alumni Board of Directors (September 2006 to
June 2009). He is also a member of the Los Angeles County Bar Association
and the Los Angeles Bankruptcy Forum. n 2009 and 2010, Mr. Frealy was
recognized as a Rising Star by Super Lawyers magazine. He was admitted
to the California Bar in 1998, and is admitted to the Central, Eastern,
Northern and Southern Districts of California.
Articles written by Mr. Frealy include: Dazed and Confused, California
Bankruptcy Court Reporter, Vol. 4, No. 3, March 2000 (Dischargeability of
student loans and the undue hardship test); Finding the Key, California
Bankruptcy Court Reporter, Vol. 4, No. 6, June 2000 (How to Setoff Mutual
Debts in Bankruptcy). n February 2010, Mr. Frealy appeared as a speaker
at Southwestern Law Review's symposium on Bankruptcy in the New
Millenium.
pg 1 of 1
Professional Resume
Todd A. Frealy
taf@lnbyb.com
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Main Document Page 215 of 230
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
IRV M. GROSS has practiced law in California for over 30 years. After
graduating from the University of California at Los Angeles in 1968 (B.A.,
Cum Laude), Mr. Gross attended law school at Boalt Hall, University of
California at Berkeley (J.D., 1972). After graduation from law school, Mr.
Gross served as the law clerk for the Hon. Robert Firth, Judge of the United
States District Court for the Central District of California. Following his
clerkship, Mr. Gross joined the Los Angeles law frm of Simon & Sheridan, a
frm prominent for its expertise in federal litigation. After becoming a partner
at Simon & Sheridan, Mr. Gross joined Robinson, Wolas & Diamant, a highly
regarded Los Angeles law frm specializing in insolvency and creditors
rights, and eventually became the head of the frms litigation department.
Mr. Gross litigation practice has always been broad-based: he has
represented individuals and major corporate clients, including McKesson
Corp., Chicago Title Insurance Company, 20th Century Fox Corp., Interstate
Bakeries Corp., Nutro Products, Inc. and Allstate Financial, in business,
commercial, real estate and employment litigation, including jury and
non-jury trials. These include a successful eight-week jury trial in the Los
Angeles Superior Court representing former bank directors sued for breach
of fduciary duty, and a successful two-week jury trial in the United States
District Court defending a Fortune 100 company in a wrongful termination
case. A signifcant part of Mr. Gross practice involves the representation
of bankruptcy trustees, chapter 11 debtors, and creditor committees and
individual creditors in insolvency litigation, such as Mr. Gasket (public
company in the automotive parts industry), Qintex Entertainment, Inc.
(public company in the entertainment industry) and Condor Systems, Inc.
(public company in the defense industry). Mr. Gross has also represented
the prevailing parties in appeals in both state and federal courts. His
published decisions include In re Rossi, 86 B.R. 220 (9th Cir. BAP 1988);
First Pacifc Bancorp, Inc. v. Bro, 847 F.2d 542 (9th Cir. 1988); In re Qintex
Entertainment, Inc., 950 F.2d 1492 (9th Cir. 1991); Bergman v. Rifkind &
Sterling, Inc., (1991) 227 Cal.App.3d 1380; In re Qintex Entertainment, Inc.,
8 F.3d 1353 (9th Cir. 1993); In re Advent Management Corp., 178 B.R. 480
(9th Cir. BAP 1995); American Sports Radio Network, Inc., et al. v. Krause,
546 F.3d 1070 (9th Cir. 2008). Mr. Gross is a member of the Litigation and
Prejudgment Remedies sections of the Los Angeles County Bar Association,
and the Litigation section of the American Bar Association. Mr. Gross has
also served as a judge pro tem of the Los Angeles Superior Court.
pg 1 of 1
Professional Resume
Irv M. Gross
img@lnbyb.com
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Main Document Page 216 of 230
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
JACQUELINE L. RODRIGUEZ-JAMES is a partner at Levene, Neale,
Bender, Yoo & Brill L.L.P., where she specializes in representing debtors
and creditors in Chapter 11 bankruptcy cases and out-of-court restructurings
as well as plaintiffs and defendants in business and bankruptcy litigation.
A graduate of Loyola Marymount University, with an undergraduate degree
in International Business, and the University of Southern California School
of Law, Ms. James was an extern to the Honorable John Ryan of the
United States Bankruptcy Court and the Bankruptcy Appellate Panel in
1997. She was admitted to the California Bar in 1998, and joined the frm
in 2001. Her experience includes a wide range of industries, including but
not limited to, entertainment, restaurants, retail, general manufacturing,
construction, equipment rental, security, banking and health care. Her
casework includes FAO Schwarz, the Walking Company, Britches of
Georgetown, Inc., Stan Lee Media, Franchise Pictures, Les Deux Cafes,
LLC, Fatburger Restaurants, Alliant Protection Services, Inc., Pleasant
Care Corporation, and Westcliff Medical Laboratories, Inc. She has also
represented several high profle clients in individual bankruptcy cases and
out-of-court restructurings. The published author of several legal articles,
Ms. James is a member of the American Bankruptcy Institute, the Financial
Lawyers Conference, the National Association of Trial Attorneys and several
bar associations. She has been voted a Rising Star in a poll of her peers
in Southern California each year since 2006. She is fuent in Spanish and
conversational in French.
pg 1 of 1
Professional Resume
Jacqueline L.
Rodriguez-James
jlj@lnbyb.com
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Main Document Page 217 of 230
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
JULIET Y. OH is a partner at Levene, Neale, Bender, Yoo & Brill L.L.P.
representing individuals and corporations in Chapter 11 bankruptcy
cases, out-of-court restructuring proceedings and bankruptcy litigation
proceedings. She has been voted a Rising Star in a poll of her peers in
Southern California each year since 2006. Ms. Oh has recently represented
Chapter 11 debtors Franchise Pictures LLC, et al., Fatburger Restaurants,
Shoe Pavilion, Central Metal, Inc., Bodies In Motion, Inc., and the Offcial
Committee of Unsecured Creditors of Halcyon Holding Group. Prior
to joining the frm in 2003, Ms. Oh specialized in the representation of
individuals in Chapter 7 and Chapter 13 cases and worked as an extern
with the Offce of the U.S. Trustee, Central District of California. Ms. Oh is a
graduate of Stanford University and obtained her law degree from University
of California Los Angeles. She was admitted to the California Bar in 2000,
is a member of the Korean American Bar Association, California Bankruptcy
Forum and Los Angeles Bankruptcy Forum.
pg 1 of 1
Professional Resume
Juliet Y. Oh
jyo@lnbyb.com
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Main Document Page 218 of 230
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
TODD M. ARNOLD has been with LNBY&B since 2003. Mr. Arnold
specializes in corporate and high net worth individual reorganizations and
bankruptcy litigation. Mr. Arnold has served as counsel in several major
reorganization cases and in hundreds of avoidance actions. Mr. Arnold
joined LNBRB after serving as an extern and a law clerk to the Honorable
Thomas B. Donovan, United States Bankruptcy Judge. He has been voted
a Rising Star in a poll of his peers in Southern California each year since
2006. A native of Sacramento, Mr. Arnold graduated from the University of
California, Los Angeles with a B.A. in English and Loyola Law School, Los
Angeles, FXPODXGH, with a Juris Doctor degree and as a member of the
Order of the Coif.
pg 1 of 1
Professional Resume
Todd M. Arnold
tma@lnbyb.com
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Main Document Page 219 of 230
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
MICHELLE SHARONI GRIMBERG, born and raised in srael, was an
associate at Loeb & Loeb and Bingham McCutchen, prior to her joining
LNBY&B. Ms. Grimberg specializes in complex business litigation arising
before and during the bankruptcy reorganization process, in both state and
federal court. Ms. Grimberg handles all phases of litigation. Ms. Grimberg
has repeatedly been listed as a Rising Star in region-wide peer surveys, an
honor reserved on only a small percentage of Southern California attorneys.
Ms. Grimberg graduated from University of California, rvine, with a double
major in Psychology and Criminology, with honors. She then attended
University of California Hastings College of the Law where she obtained her
Law Degree. Ms. Grimberg was admitted to the California Bar in 2001.
pg 1 of 1
Professional Resume
Michelle
Sharoni
Grimberg
msg@lnbyb.com
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Main Document Page 220 of 230
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
ANTHONY A. FRIEDMAN specializes in the representation of debtors in
reorganizations and liquidations and Chapter 7 and Chapter 11 Trustees,
bankruptcy litigation, State Court litigation, and creditors committees.
Mr. Friedman is admitted to practice before all the Courts of the State of
California, the United States District Court, Central, Eastern, Northern and
Southern Districts, the Ninth Circuit Court of Appeals and the United States
Supreme Court. Mr. Friedman received his Juris Doctor degree from the
University of La Verne School of Law in 1999 and his Bachelor of Arts degree
from the University of California at San Diego in 1992. Prior to joining Levene
Neale Bender Yoo & Brill LLP, Mr. Friedman was a judicial extern for the
Honorable Kathleen Thompson, United States Bankruptcy Judge, Central
District of California, an associate at Weinstein, Eisen & Levine, an associate
at Weintraub & Aver, LLP, and most recently at Moldo Davidson Fraioli Seror
& Sestanovich LLP. Mr. Friedman is a member of the American Bankruptcy
nstitute, the Los Angeles County Bar Association, the Los Angeles
Bankruptcy Forum, the California Bankruptcy Forum, the Financial Lawyer's
Conference, the Commercial Law League of America, the Beverly Hills Bar
Association and the San Fernando Valley Bar Association. Mr. Friedman
is also a volunteer in the Public Counsel Law Center Bankruptcy pro bono
project.
pg 1 of 1
Professional Resume
Anthony A.
Friedman
aaf@lnbyb.com
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Main Document Page 221 of 230
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
CARMELA T. PAGAY, an associate at LNBY&B, specializes in
representation of debtors in reorganizations and liquidations, creditor
committees, and Chapter 7 and Chapter 11 trustees, and bankruptcy
litigation. Ms. Pagay received her Bachelor of Arts Degree in Political
Science from the University of California, Los Angeles in 1994, and her
Juris Doctor from Loyola Law School, Los Angeles in 1997, where she
was Senior Production Editor of the Loyola of Los Angeles nternational
and Comparative Law Journal. Ms. Pagay is admitted to practice before
the United States District Court, Central, Eastern, Northern, and Southern
Districts, the Ninth Circuit Court of Appeals, and the United States Supreme
Court. She is currently a member of the Beverly Hills Bar Association,
Bankruptcy Section Executive Committee, the Los Angeles County Bar
Association, and the Women Lawyers Association of Los Angeles, and is
also an editorial board member of the Los Angeles Lawyer magazine.
pg 1 of 1
Professional Resume
Carmela T.
Pagay
ctp@lnbyb.com
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Main Document Page 222 of 230
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
JOHN-PATRICK M. FRITZ joined LNBYB as an associate in 2009. Prior to
joining the frm, Mr. Fritz served for two years as law clerk to the Honorable
Maureen A. Tighe, United States Bankruptcy Judge for the Central District
of California. Mr. Fritz graduated magna cum laude from Southwestern Law
School as a Law Review Editor and Moot Court oralist. He received his
undergraduate degree cum laude with thesis honors from Tufts University.
Mr. Fritz focuses his practice on corporate bankruptcy and restructuring. He
is a member of the Financial Lawyers Conference and the Japan America
Society. Mr. Fritz worked for two years in government and law offces in
Japan and is profcient in reading, writing, and speaking Japanese.
pg 1 of 1
Professional Resume
John-Patrick
M. Fritz
jpf@lnbyb.com
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Main Document Page 223 of 230
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
KRIKOR J. MESHEFEJIAN represents clients in business reorganization
and related litigation matters. He has assisted clients such as single asset
real estate debtors, multi-million dollar enterprises, small businesses and
individuals in successfully and effciently navigating the reorganization
process.
Prior to joining the frm in 2008, Mr. Meshefejian clerked for the Honorable
Geraldine Mund and the Honorable Victoria S. Kaufman, United States
Bankruptcy Judges. Mr. Meshefejian obtained his J.D. in 2007, magna cum
laude, from the University of llinois College of Law, where he served as
senior editor for the llinois Business Law Journal and received the Rickert
Award for excellence in legal writing. He is a member of the State Bar of
California and the American Bankruptcy nstitute.
pg 1 of 1
Professional Resume
Krikor J.
Meshefejian
kjm@lnbyb.com
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Main Document Page 224 of 230
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
LAW OFFICES
10250 CONSTELLATION BLVD., STE 1700, LOS ANGELES, CA 90067 TEL: 310.229.1234 FAX: 310.229.1244 www.LNBYB.COM
LINDSEY L. SMITH joined LNBYB as an associate in February 2010. Ms.
Smith obtained her law degree cum laude from Loyola Law School, where
she was a member of the Alpha Sigma Nu and the St. Thomas More Honor
Society, and recipient of the First Honors Award in Election Law. Ms. Smith
obtained a B.A. in political science with an emphasis in American Politics
from Boston University. Ms. Smith is a member of the Beverly Hills Bar
Association.
pg 1 of 1
Professional Resume
Lindsey L. Smith
lls@lnbyb.com
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EXHIBIT D
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LAW OFFICES
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P.
10250 Constellation Boulevard, Suite 1700
Los Angeles, California 90067
Telephone No. (310) 229-1234
Telecopier No. (310) 229-1244
2010 HOURLY BILLING RATES
ATTORNEYS RATE
DAVID W. LEVENE $585.00
DAVID L. NEALE 585.00
RON BENDER 585.00
MARTIN J. BRILL 585.00
EDWARD M. WOLKOWITZ 585.00
TIMOTHY J. YOO 585.00
DAVID B. GOLUBCHIK 540.00
MONICA Y. KIM 540.00
BETH ANN R. YOUNG 540.00
DANIEL H. REISS 540.00
IRVING M. GROSS 540.00
PHILIP A. GASTEIER 540.00
JACQUELINE L. RODRIGUEZ 485.00
JULIET Y. OH 485.00
MICHELLE S. GRIMBERG 485.00
TODD M. ARNOLD 485.00
TODD A. FREALY 485.00
ANTHONY A. FRIEDMAN 415.00
CARMELA T. PAGAY 415.00
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2
JOHN-PATRICK M. FRITZ 335.00
KRIKOR J. MESHEFEJIAN 335.00
LINDSEY L. SMITH 225.00
PARAPROFESSIONALS 195.00
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In re:
WESTCLIFF MEDICAL LABORATORIES, INC., Debtor(s).
BIOLABS, INC.,
Debtor.
CHAPTER 11
Case No. 8:10-bk-16743
Jointly Administered with Case No. 8:10-bk-16746
PROOF OF SERVICE OF DOCUMENT
I am over the age of 18 and not a party to this bankruptcy case or adversary proceeding. My business
address is: 10250 Constellation Boulevard, Suite 1700, Los Angeles, California 90067.
A true and correct copy of the foregoing document described as SECOND INTERIM APPLICATION OF
LEVENE, NEALE, BENDER, YOO & BRILL L.L.P. FOR APPROVAL OF FEES AND REIMBURSEMENT
OF EXPENSES; DECLARATION OF RON BENDER, ESQ. will be served or was served (a) on the judge
in chambers in the form and manner required by LBR 5005-2(d); and (b) in the manner indicated below:
I. TO BE SERVED BY THE COURT VIA NOTICE OF ELECTRONIC FILING (NEF) Pursuant to
controlling General Order(s) and Local Bankruptcy Rule(s) (LBR), the foregoing document will be served
by the court via NEF and hyperlink to the document. On December 1, 2010, I checked the CM/ECF docket
for this bankruptcy case or adversary proceeding and determined that the following person(s) are on the
Electronic Mail Notice List to receive NEF transmission at the email address(es) indicated below:
Raymond G Alvarado ralvarado@adorno.com
Todd M Arnold tma@lnbrb.com
Richard L Barnett rick@barnettrubin.com, rlbsec@barnettrubin.com
Ron Bender rb@lnbrb.com
Ronald K Brown rkbgwhw@aol.com
Jennifer Witherell Crastz jcrastz@hemar-rousso.com
Carol J Fogleman mfrost@bwslaw.com
Anthony A Friedman aaf@lnbrb.com
John-patrick M Fritz jpf@lnbrb.com
Jeffrey K Garfinkle bkgroup@buchalter.com,
jgarfinkle@buchalter.com;lgoodwin@buchalter.com
Fredric Glass fglass@fairharborcapital.com
Nancy S Goldenberg nancy.goldenberg@usdoj.gov
D Edward Hays ehays@marshackhays.com
Michael J Heyman michael.heyman@klgates.com
Mark D Houle mark.houle@pillsburylaw.com
Andy Kong Kong.Andy@ArentFox.com
Rodger M Landau rlandau@lgbfirm.com, kmoss@lgbfirm.com
Matthew A Lesnick matt@lesnicklaw.com
Michael B Lubic michael.lubic@klgates.com
Frank F McGinn ffm@bostonbusinesslaw.com
Elissa Miller emiller@sulmeyerlaw.com, asokolowski@sulmeyerlaw.com
Aram Ordubegian ordubegian.aram@arentfox.com
Richard Park Richard.Park@usdoj.gov
Justin E Rawlins jrawlins@winston.com, docketla@winston.com
Jacqueline L Rodriguez jlr@lnbrb.com
Benjamin Seigel bseigel@buchalter.com, IFS_filing@buchalter.com
David B Shemano dshemano@pwkllp.com
Philip E Strok pstrok@wgllp.com
United States Trustee (SA) ustpregion16.sa.ecf@usdoj.gov
Howard J Weg hweg@pwkllp.com
Sharon Z Weiss sharon.weiss@hro.com
Joseph M Welch jwelch@buchalter.com
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Service information continued on attached page
II. SERVED BY U.S. MAIL OR OVERNIGHT MAIL(indicate method for each person or entity served):
On December 1, 2010, I served the following person(s) and/or entity(ies) at the last known address(es) in
this bankruptcy case or adversary proceeding by placing a true and correct copy thereof in a sealed
envelope in the United States Mail, first class, postage prepaid, and/or with an overnight mail service
addressed as follows. Listing the judge here constitutes a declaration that mailing to the judge will be
completed no later than 24 hours after the document is filed.
Via Overnight Mail
The Hon. Theodor C. Albert
United States Bankruptcy Court
411 West Fourth Street
Santa Ana, CA 92701
Frank Cadigan (Via U.S. Mail)
Nancy Goldenberg
Terry Biers
Office of the U.S. Trustee
411 West Fourth St. Suite 9041
Santa Ana, CA 92701
Service information continued on attached page
III. SERVED BY PERSONAL DELIVERY, FACSIMILE TRANSMISSION OR EMAIL (indicate method for
each person or entity served): Pursuant to F.R.Civ.P. 5 and/or controlling LBR, on December 1, 2010, I
served the following person(s) and/or entity(ies) by personal delivery, or (for those who consented in
writing to such service method), by facsimile transmission and/or email as follows. Listing the judge here
constitutes a declaration that personal delivery on the judge will be completed no later than 24 hours after
the document is filed.
Service by E-mail
Debtors
Westcliff Medical Laboratories, Inc.
BioLabs, Inc.
1821 E. Dyer Road, #100
Santa Ana, CA 92705
m.pakkala@westclifflabs.com
Service information continued on attached page
I declare under penalty of perjury under the laws of the United States of America that the foregoing is true
and correct.
December 1, 2010 Lourdes Cruz /s/ Lourdes Cruz
Date Type Name Signature
This form is mandatory. It has been approved for use by the United States Bankruptcy Court for the Central District of California.
January 2009 F 9013-3.1
Case 8:10-bk-16743-TA Doc 307 Filed 12/01/10 Entered 12/01/10 16:03:51 Desc
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