case 11-20059-svk doc 2801 filed 08/15/14 page 1 of 42 ¨1
TRANSCRIPT
IN THE UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF WISCONSIN
In Re: Case No. 11-20059-svk
ARCHDIOCESE OF MILWAUKEE, Chapter 1.1
Han. Susan V. Kelley
Debtor.
Face Sheet: Fifth Interim Application of Quarles &Brady LLP As Special Counsel
to the Debtor for Court Approval of Fee Compensation and Expense
Reimbursement (12/1/2013 to 7/31/2014) Plus Earlier Holdbacks Older than 90 Days
NAME OF APPLICANT:
NAME OP CLIENT:
PERIOD COVERED:
TYPE OF APPLICATION:
Jahn A. RothsteinDavid J. MuthQuarles &Brady LLP411 E. Wisconsin Ave.Milwaukee, WI 53202Telephone: 414-277-5351
Facsimile: 414-978-8851
Email: iohn.rothstein(a~puarles.comdavid.muthna,quarles.com
Quarles &Brady LLP
Archdiocese of Milwaukee
December 1, 2013 through July 31, 2014
Monthly X Interim Final
QB\29039596. t
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 1 of 42
SECTION I: FEE SUMMARY
To Date Current 5th Application
100% 80% l OQ% 80% Pest 20%Holdback Olderthan 90 da s
Total Pees $405,238.30 $324,190.64 $40,9(4.30 $32,771.44 $7,434.10
Incurred/Re uested
TotalDisbursements $1,5&7.03 $86.13
Incurred/Re nestedTotal Fees $180,551.50 $144,441.20
Previousl Allowed
TotalDisbursements $1,357.892
Previousl AllowedTotal Retainer $151,462.29 $151,462.29
Total 80% Fees, $145,799.09
~~% COStS ~ ~
Previousl AllowedTotal Current 80%Pees Requested and $32,857.57
100% CostsRequested($32,771.44 +86.13 =)Total RequestedPayment of $7,434.10
Previous 20%Holdbacks olderthan 90 da s
80% Current
Fees, Full Costs $40,291.67
20% Holdbacks
' The Fourth Fee Application is pending and is not included. Tt requests a total of $190,b29.10 embracing
$146,913.90 in 80% fees; $43,567,00 in 20%holdbacks; and $148.20 in reimbursable costs. This amount would
need to be added.Z The total previous disbursements include a credit of $72.31.
3 With interest through June 30, 2014,
4 Same as footnote 1.
QB\2903 1214.1
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 2 of 42
SECTION II: EXPENSE SUMMARY
a. UPS 9.13
b. PACER Charges 2.50
c. Process Server 55.00
d. Courier Delivery 13.50
e. Badger Bus Delivery to Supreme Court 6,00
Net Expenses $86.13
QB\29039710, l
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 3 of 42
SECTION III: ATTORNEY /PARALEGAL SUMMARY
Name Yr. admitted toractice
Hours billed Hourly Rate Total
Law ersJohn Rothstein 1979 56.2 $S1S.00 $28,943.00
Dave Muth 1996 14.6 $00,00 $5,840.00
R. Rothacker 1982 10.9 $465.00 $5,068,50
Keith Bruett 1998 0.3 $425.00 $127,50
Dave Kern 1979 1.2 $480.00 $576,00
Fred Gants 1976 0 $455.00
Mike Aldana 1990 Q $425.00
Marla Anderson 2000 0.4 $337.00 $134.80
Mike Fischer 1980 0.1 $390.00 $39.00
Matt S litek 2007 0.2 $300.00 $60.00
Paralegals
S. Taylor Aytch n/a 0 $200.00
L. Reynolds n/a 0 $95.00
Susie Jankowski n/a 0 $165.00
E, Hibbs nla 0 $180,00
Donna Woida n/a 0.9 $195.00 $175.50
Judith Gunn n/a 0 $95.00
Teresa Como n/a 0 $190,00
TOTAL 84.8 BlendedX483.07
$40,964.30
QB\29032169.1
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 4 of 42
IN THE UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF WISCONSIN
In re: Case No. 11-20059-svk
ARCHDIOCESE OF MILWAUKEE, Chapter 11
Hon. Susan V. Kelley
llebtor.
Fifth Interim Application of Quarles &Brady LLP for Allowance and Payment of Fee
Compensation and Reimbursement of Expenses as Special Counsel for the Debtor for the
Period of 12/1/2013 to 7/31/2014 plus Earlier 20%Holdbacks older than 90 Days
TO: THE HONORABLE SUSAN V. KELLEY, United States Bankruptcy Judge
Pursuant to 11 U.S.C. §§ 330, 331 and 503(b)(1}(A), Rule 2016 of the Federal Rules of
Bankruptcy Procedure ("Fed. R. Bankx. Proc."), Rule 2016 of tlae Local Rules of the United
States Bankruptcy Court for the Eastern District of Wisconsin (the "Local Rules") and the Order
Granting llebtor's Motion to Establish Procedures for Interim Compensation and
Reimbursement of Expenses of Professionals (the "Interim Compensation Procedures Order"),
Quarles &Brady LLP ("Q&B"), court appointed special counsel for the Archdiocese of
Milwaukee ("Debtor"), respectfully makes this fourth interim quarterly application far allowance
and payment of $40,291.67 which includes (a) X32,771.44 far the months from December 1,
2013 to July 31, 2014, calculated at 80% of the actual amounts (which actual amount totaled
Prepared by;John A. RothsteinDavid J. MuthQuarles &Brady LI.,P411 E. Wisconsin Ave.Milwaukee, WI 53202(414) 277-5000 (telephone)(414) 978-8851 (fax)
email: john,rothsteinnquarles.com
QB\29039979.1
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 5 of 42
$4Q,964.30); (b) $7,434.10 for all earlier unpaid 20% holdbacks predating May 1, 2014; and (c)
$86.13 in out-of-pocket costs and disbursements.
In support of this application, Q&B respectfully states as follows:
INTRODUCTION
1. Q&B is a limited liability partnership with its principal place of business
located at 411 East Wisconsin Avenue, Milwaukee, Wisconsin, 53202.
2. The Debtor filed a voluntary petition for relief under Chapter 11 of the
Bankruptcy Code on January 4, 2011. The Debtor is authorized to continue to operate and
manage its properties as a debtor in possession pursuant to sections 1107(a) and 1108 of the
Bankruptcy Code.
3. By an Oxder of this Court dated January 27, 2011 (Docket No. 93), Q&B
was employed and appointed as special counsel under a retainer to represent the Debtor in this
proceeding. Q&B holds apre-petition retainer in the amount of $151,462,29 as of June 30,
2014.
4. On May 12, 2011, Q&B filed its First Application for Fee Compensation
and Reimbursement of Expenses from January 4, 2011 to March 31, 2011 ("First Fee Request").
On July 1, 2011 the Court entered an Order granting the First Fee Request of Q&B for the period
of January 4, 2011 through March 31, 2011 approving the payment of $17,834.40 (which was
&0% of the total of fees for the period and $127.20 in expenses). Q&B received the first
payment of $17,834.40 on its first Fee Request. On March 22, 2012, Q&B filed its Second
Application for Fee Compensation and Reimbursement of Expenses from April 1, 2011 to
December 31, 2011 ("Second Fee Request"). Because there were no objections to the Second
2QB\29039979.1
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 6 of 42
Fee Request of Q&B for the period of Apri12011 to December 31, 2011, the Debtor paid the
same of $52,565,29 (which was 80% of the total of fees for the period and a credit of $72.31 for
separately recovered costs). Q&B received the payment of $52,565.29 on its Second Fee
Request. On November 30, 2012, Q&B filed its Third Application for Fee Compensation and
Reimbursement of Expenses from January 1, 2012 to October 31, 2Q12 ("Third Fee Request").
Because there were no objections to the Third Fee Request, the Debtor paid the same of
$103,280.80 (which was 80% of the total of fees fox the period, 100% of the costs for the period,
and a payment for a1120%holdbacks older than 90 days). Q&B received the payment of
$103,280.80 on its Third Fee Request. Thus, Q&B has received atotal of $173,680,49 in
payments from the Debtor, On August 14, 2014, Q&B submitted its Fourth Fee Request for Fee
Compensation and Reimbursement of Expenses from November 1, 2012 to November 30, 2013.
The Fourth Fee Request is being filed with this request and is also pending.
SUMMARY OF SERVICES PERFORMED DURING THE COMPENSATION PERIOD
As is reflected in the Fee and Expense Summary Cover Sheet ("Cover
Sheet"), the use of which is recommended by the Guidelines for Reviewing Applications for
Compensation and Reimbursement of Expenses Filed Under 11 U.S,C. § 330 (the "Guidelines")
adopted by the Executive Office of the United States Trustees, Q&B rendered 84.8 hours of legal
services in the representation of the Debtor during the Fee Period. Based on the nature of the
services rendered, the time required, the value of the services to the Debtor and the estate, and
the cost of comparable services other than in a case under the Bankruptcy Code, the
compelisation fox these services should not be less than $40,964.30. This total represents $4.8
hours of Q&B attorney and paralegal time, at an average hourly rate of $483.07. The hourly rate
QB\29039979.1
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 7 of 42
for each attorney and paralegal who performed services for the Debtor is set forth in the Cover
Sheet.
6. Exhibit A, attached hereto, are adjusted listings of time spent by each
lawyer during the Fee Period on behalf of the Debtor with further notations of the work
categories of projects ox tasks created by the American Bar Association as its "Bankruptcy Code
Set" as part of its Uniform Task-Based Management System. Exhibits B and C attached hereto,
contain a summary of the adjusted services provided and the disbursements incurred by together
with an ABA project code.
7. In accordance with Local Rule 2016(a)(4), Exhibit D, attached hereto and
incorporated herein by this reference, sets forth the explanation of the necessity for multiple
professionals' involvement and a list of the professionals i~~volved in each meeting.
8. Q&B expended $86.13 in separate out of pocket costs and expenses in
connection with its representation of the Debtor from December 1, 201 ~, through July 31, 2014
In accordance with Local Rule 2016(a)(3), these have been set forth chronologically by project
category in the billing statements set forth in the attached exhibits.
9. Q&B believes that the attached invoices reflect the net, fair and
reasonable value of the legal expertise provided to the Debtor, and for the benefit of the Debtor's
estate, which required skilled and experienced legal counsel with lalowledge not only of
bankruptcy law, but also of other substantive areas of law. Every effort was made to insure that,
consistent with high quality representation, the case was not overstaffed and there was no
unnecessary duplication of effort.
4QB\29039979.1
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 8 of 42
Q&l~ IS A DISINTERESTED PERSON AND HOLDS NO ADVERSE INTEREST
10. All professional services for which allowance of compensation is
requested were performed by Q&B on behalf of the Debtor and not on behalf of any othex entity
or person. Q&B awns neither a claim against, nor an interest in the Debtor, nor has a beneficial
interest, directly or indirectly, been acquired or transferred by Q&B or for Q&B's benefit since
the commencement of the case. Q&B represents no interest adverse to the Debtor with respect to
matters upon which it is engaged and Q&B is a "disinterested person" under 101(l~) of the
Bankruptcy Code.
11. No agreement or understanding exists between Q&B and any other
person or entity for the sharing or compensation received or to be received. for services rendered
in connection with these proceedings, except that fees will be shared with other members of
Q&B as permitted by Fed. R. Bankr. Proc. 2016 and section SO4 of the Bankruptcy Code.
PRIOR 20%HOLDBACKS FOR PERIODS PRIOR TO MAY 1, 2014
(ALL OLDER THAN 90 DAYS FROM THE DATE OF THIS APPLICATION
12. Q&B's Fourth Fee Application requested only 80% of those fees incurred
90 days ar closer to December 31; 2013.
13. More than 90 days (one quarter of a year, ox 90 days) has now passed, and
thus, a request is hereby made for the Debtor to pay the withheld 20% amounts from the Fourth
Tee Application. This Fifth Fee Application, to the extent zt includes hours for the months of
May, June and July, 2014, does not include or request the 20%holdback on the fees for those
three months in 2014. Those holdback amounts will be requested once they mature beyond the 3
month time frame.
QB\29039979.1
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 9 of 42
14. The total amount of the unpaid ZQ% hold back for all earlier periods prior
to May 1, 2014 (namely from 12/1/2013 to 4/30/14) is $7,434.10. The dollar amounts making up
this figure are shown on exhibit E.
REQUEST FOR INTERIM COMPENSATION FOR PERIODS OF DECEMBER 1, 2013
TO JULY 30, 2014 AND FOR PAYMENT OF THE 20`% HOLDBACK
FOR TIME PERIODS PRIOR TO MAY 1, 201.4
15. Consistent with the practice of the Court, this Court has approved the
payment of professional fees even though the tune for payment of fees has been deferred
pending a plan in this matter.
16, Q&B reserves the right to apply for allowance and authorization of
additional fees and expenses it may incur in these proceedings subsequent to July 31, 2014 and
also to recover the 20%holdback once the time periods mature beyond the 3 months time frame.
NOTICE
17. This monthly fee request and notice shall. be served an the Notice Parties
pursuant to the Case Management Order entered by the Court on January 7, 2011.
WHEREFORE, Quarles &Brady LLP, respectfully requests that this Court enter an
Order (i) allowing and authorizing the payment of monthly compensation of $40,291.67 which
includes (a) $32,771.44 for the time frame from December 1, 2013 to July 31, 2014 calculated at
80% of the actual amounts (which actual amount totaled $40,964.30), (b) $7,434.10 for the
earlier unpaid 20% holdbacks predating May 1, 2014 (which are all older than 90 days from this
Application), (c) X86.13 in out of pocket costs and disbursements; and (ii) granting such other
relief as this Court deems just and proper.
QB\29039979.1
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 10 of 42
Dated this 15th day of August, 2014
ARCHDIOCESE OF MILWAUKEEDebtor and Debtor-in-Possession
by its Special Counsel,Quarles &Brady LLP
By: s/John A, RothsteinJohn A. RothsteinState Bar No. 1004356
POST OI'FICE ADDRESS:411 East Wisconsin Avenue
Milwaukee, WI 53202Telephone: (414) 277-5000Facsimile: (414) 978-8851Email: [email protected]
7QB\29039979.1
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 11 of 42
Exhibit A
.Monthly Billing, Statements
John.A. RothsteinDavid t. ~vSuthQtJ,4RLE5 & BRADY LLP
411 East'Wiscansin Avenue
Milwaukee, Wisconsin 332g2
Tele}ihonc: (41~) 277-5000
Facsimile: (414) 978-8851
Email: john.rathstein~aqunrles.com.
david.muth~a qusu'las.com
QB\1$70$234.1
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 12 of 42
ARCHDIOCESE OF MII.,WAUKEE
INVOICES ISSUED FOR TIME FROM 12-1-2013 TO 7-31-2014
Period Invoice # Invoice Date 100% Fees Costs 80%Fees
Starting
12-1-2013 1913942 1/27/14 13,660.00 0.00 10,928,00
1-1-2014 191$847 2/13/14 14,724.50 2.00 11,779.60
2-1-2014 193Q053 3/20/14 2,602.00 55.10 2,081.60
3-1-2014 1940843 4/28/14 5,349.00 Q.00 4,2.79.20
4-1-2014 1946767 5/1S/14 &35.00 28.63 668.00
5-1-2014 1960228 6/30/14 1,663.30 ,40 1,330.64
G-1-2014 1969204 7/30/14 1,423,OQ O.OU 1,138.40
7-1-2014 1972586 8/7/14 707.SQ 0.00 566.00
TOTAL
QA\29043128.1
41,964.30 86.13 32,771.44
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 13 of 42
AI t East Wisconsin Avenue Attorneys at Law in:
Suite 2350 Chicago, Illinois
Milwaukee, WI 53202 Milwaukee and Madison, Wisconsin
Tal. 414.277.5000 Naples and Tampa, Florida
Pax 4Ih,271,3SS2 Phoenix and Tucson, Arizona
INVOICE SUMMARY ~'•4uarles.com Washington, DC
TaxID No.39.0432630
Invoice Number: 1913942 Privileged &Confidential
Invoice Date; January 27, 2014
Archdiocese of Milwaukee Debtor-in-Possession
Attn; John Marek3501 South Lake Drive
St. Francis, WT 53207
ror Professional Services Rendered Through December 31, 2013
Re; Special Gounset in Bankruptcy for Litigation
Q & B Matter Number: 144009.00Q02
Current Fees;
Current Total Due:
TOTAL. AMOUNT DUE:
$ 1316b0,00
$ 13,660.00
INVOICE IS PAYABLE UPON RECEIPT
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 14 of 42
Archdiocese of Milwaukee Debtor-in-Possession (Chapter 11 Proceeding) January 27, 2014
RE: Special Counsel in Bankruptcy for Litigation Invoice Number: 1913942
Q & B Matter Number: 144009,000Q2 Page 2
Dute Descriptdo~t ProfesstonaC Hours Task Code
12/p2/13 Review insurer submissions to Court (.20), DPM 0.20 8120.
12/06/13 Review issues regarding Centennial insurance DPM O.SO 8120
claims (,50).
12/Qb/13 Review of'need far pension plan amendments (50). RItOTHA.CK 0,50 B220
12709/13 Fallow-up on potential Centennial claim (.90). DPM 0,9Q B120
12/10/13 Review centennial Tnsurancs information (,90). JAR 0.90 B120
12/10/13 Prepare clainn form requested by Whyte JAR 1.80 B120
Hirschboeck directed to Centennial tnsurance
Company (1.80),
l2/1 x/13 Process issues regarding insurance. (,20) JAR 0.20 B120
12/t0/13 Obtain best addresses of claim and edit claim (.80). JAR 0.80 B120
12/12/l3 Follow-up on Centennial palioy issues (.2Q), DPM 0.20 B12~
12/12/73 Conference with Dave Muth regarding fallow up JAR O,SO B120
on claim form for Centennial requested by Whyte
Hirsehboeck (.50).
12116/13 Follow-up on LMT settlement issues (1.40). DPM 1,40 6120
12/16/13 Review email from co-counsel regarding draft of 3A~2 Q.40 B120
new settlement contract with LM[ (.40).
12/17/]3 Follow-up on settlerr~ent issues with LMT (2.00), DPM 2.00 B120
12/17/13 Conference with D. Muth regarding potential claim K2B 0,3Q X120
against QneBeacon (.30).
12/18/13 Follow-up an outstanding (}neBeacon issues (,~0). DT'M 0.40 B120
12/19/13 Follow-up nn issues regarding potential adversary UPM 0.50 B120
proceeding (,50),
12/19/13 Provide information to Daryl Diesing and Bruca JAR O.SO 8120
Arnold regarding status of OneBeacon (.50}.
12/19/13 Review status of OneBeacan and send information JAR 0,6Q B120
to Messrs. Diesing and Arnold {,60).
12/23/13 Review draft of policy buy-back papers sent by JAR 1.40 B 120
WHD and prepare notes (1,A0).
12/23/13 Draft advices on policy buy-back questions {,SO). JAR 0.50 X120
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 15 of 42
Archdiocese of Milwaukee Debtor-in-Possession (Chapter 11 Proceeding) January 27, 2014
R~: Special Counsel in Bankruptcy for I.,itigaCion Invoice Number: I913942
Q & B Matter Number; 144009,000Q2 Page 3
Date Description Professional Hours Task Code
12/26/l3 Conference with Mr. Arnold on prior oase arders JAR. 0,20 B120
regarding insurance coverage in earlier state cases
(.20).
12/26/13 Research prior court decisions and orders (2.3Q), ,TAR 2.30 B1~0
12/26/13 Work on 4th interim fee application (1.10.) JAR 1,10 H160
12/27/13 Receive inquiry from Attorney LoCoco regarding JAR 0.10 8120
insurance coverage (.10).
12/27/13 Consider best steps and advices to insurance JAR 0,3Q B120
question (.30).
12/27/13. l~btain comparison insurance policies to better JAR 0.20 B120
refine response (.2U).
12/30/13 Review scope of coverage under various policies DPM 1,20 B 120
(1.20).
12/30/13 Work an nth interim fee application papers and JAIZ 4.20 B]60
required addendums and cross references (4.20).
12/30/ 13 Conference with WHD lawyer Attorney LaGoca 7AR 0,30 B 120
regarding ~neBeacon Insurance question (.30).
12/30/13 Check on status of insurance adversary proceedings J~1R 0.20 BX20
(.20).
12J30/1~ Prepare information requested by Mr. Marek (.20). JAR 0.20 B120
12/31/13 Review settlement negotiations With insurers (.20). DPM 0.2Q 81.20
12/31/13 Complete billing. information and paperwork JAR 3.30 8160
required for 4th interim fee application for court
(3.30).
FEE SUMMARY:
ID Name Hours Rate Amaunt
DPM David P. Muth 7.50 400,00 3,000.00
JAR John A. Rothstein 20.00 S 15.00 10,300,00
KZB Keith A. Bruett 0,30 425.OQ 127.50
RROTHACK Robert D. Rothaeker O,SO 465.Q0 232,50
Tatat 28.30 13,660.00
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 16 of 42
Archdiocese of Milwaukee Debtor-in-Possession (Chapter 11 Pr4ceedin$} January 27, 2014
RE; Specia) Counsel in Bankruptcy for l..itigation Invoice Number: 19`13942
Q & D Matter Number: 144009.00002 Page 4
Total Fees: $ 13,660,00
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 17 of 42
411 East Wisconsin Avenue Attorneys at Law in:
Suite 2350 Chicago, Illinois
Milwaukee, WI 53202 Milwaukee and Madison, Wisconsin
7'el. 414,277.5000 Naples and Tampa, Florida
Fa~c 414.271,3552 Phoenix and Tucson, Arizona
INVOICE SUMMARY H'w'~'•0.uarles.cam Washington, nc
Tax ID No. 39-0432630
Invoice Number: 1918847 Privileged &Confidential
Invoice Date: February 13, 201
Archdiocese of Milwaukee Debtor~in-PossessionAttn: John Marek3501 South Lake DriveSt. Francis, WI 53207
For Professional Services Rendered Through January 31, 201A
Re. Special Counsel in Bankruptcy Por Litigation
Q & B Matter Number; 144009.00002
Current Pees; $ 14,724,50
Current Disbursements: ~, 2.00
Current Tota! Due; $ 14,726.50
TOTAL AMOUNT DUE: `~ __ 1~4.72~.;5Q
INVOICE IS PAYABLE UPON RECEIl'T
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 18 of 42
Archdiocese of IvTilwaukea Debtor-in-Possession (Chapter 11 Proceeding) February 13, 2014
RE: Special Cqunse! in Bankruptcy for Litigation Tnvaice Number; 1918847
CZ & B Matter Nurnbar; 14A~Q09.00Og2 Page 2
Date Descr~ptrore Professional Hours Task Code
01/03114 Consider substitute list maintained by Archdiocese DBK 0.50 B210
and risks and strategy associated with same in
response to questions from Mr. Tank.(.50).
01/06/14 Research and consider risks in connection with DBK 0.30 B210
maintaining list of substitutes, in preparation far
telephone conference with Mx, Tank (.30).
01/07/14 Work on issues of OneBeacon's payment/non- JAR 2.20 B120
payment of defense casts in case by researching
duties of defense in these circumstances (2.20).
O1/10/14 Obtain information on finances requested by Whyte JAR 0.50 8160
Hirschboeck &Dudek (,50).
01/10/14 Wark on project concerning OneBeacon (2,30), JAR 2.30 B124
O l / 13/ t A rollow-up on settlement issues (.20}. DPM 0.20 B 110
01/13/14 Review motion regarding fee issues and edit same JAR 0.40 B160
to finalize it (.40).
01/13/14 Review new papers related to adversary JAR 0.90 B120
proceedings against OneBeacon (.90j.
Q1/14/14 Draft e-mail information to Whyte Hirschboeck & JAR 1.70 13120
Dudek on issues related to adversary proceeding
involving One~eacon (1.70),
01/14/14 Work on drafting complaint against OneBeacon JAR 2.9U B120
(2.90).
01/15/14 Follow-up with various claimant issues with DPM Q.20 Bl 10
Barbara Anne Cusack (.20).
Ol/1 S/14 Work on issues regarding adversary proceeding JAR a,70 B120
(.7Q).
UI/15/14 Work an adversary complaint (3.3). JAR 3.30 8120
01/16/14 Review issues regarding tart cause of action in JAR 0.80 B120
adversary complaint (.80),
01/16/14 Check on status of insurance policies to decide if JAR 0,90 B120
additional claims are possible (,~0).
01/16/14 8dit complaint (,40). JAR 0.40 B120
Ql/20/14 Review adversary complaint (.3Q}, DPM 0,30 8120
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 19 of 42
Archdiocese of Milwaukee Debtor-in-Possession (Chapter 11 Proceeding) February 13, 2014
RE. Special Counsel in Bankruptcy for L,itigatian Invoice Number: 1918847
Q & B Metter Number; 144009A0002 Page 3
Date Descrdptdvn Prafessdonal Haurs Task Code
01/20/14 Review revised adversary complaint with changes JAR 0.40 Bt.2p
and suggestions by Whyte Hirschboeck &Dudek
(.40).
01/20/14 Make changes and new edits (.90), JAR 0.90 B120
01/24/14 Return telephone call from committee counsel JAR 0.50 B140
regarding motion by OneBeacon to lift automatic
stay (.SO),
01/24/(4 Review pending Petition for review filed in 2010 in JAR 0..80 B140
Jahn Doe 1 case before Wisconsin Supreme Court
(.80).
01/24/14 Shepardize and review status of foundational cases JAR 2.20 B140
of Everson and Stuart (Z,20).
01/24/14 Review motion Co lift stay by OneBeacan (.20). JAR 0,20 B140
01/27/14 Review adversary summons and complaint; finalize MS1'LITEK 0.20 X120
complaint; arrange far adversary surr►mons andcomplaint to ba served (.20).
O 1 /27114 Supervise service of Summons and Complaint on JAR 0.20 B 120
OneBeacon (,20).
01/27/14 Call to Madison regarding service issue (,20). JAR 0.20 B12Q
01/29/14 Conference regarding real estate related issues, RROTHA.CK 0.80 8220
Review of materials regarding trust document (,80).
01/30/14 Conference regarding real estate purchase (.30). RROTHACK 0.30 B22Q
01/31/14 Prepare far and attend meeting;. review of issues RROTI3ACT~ 4,20 Ii220
regarding cash balance plan (4.20).
FEE SUMMARY:
ID Name Hours Rate Amount
DBK David B. Kern 0,80 480.00 384.00
DPM David P. Muth 0.7U 400.00 28'0.00
JAR John A. Rothstein 22.4Q S1S.Q0 11,.536.00
RROTHACK Robert D. Rofhaaker 5.30 465.00 2,46.50
MSPLITEIC It~atthew J, Splitek 0,20 300,00 60.00
Total 29.40 14,724,50
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 20 of 42
Archdiocese of Milwaukee Debtar-in-Fossession (Chapter 11 Proceeding) February 13, 2014
RE: Special Counsel in Bankruptcy for Litigation Invoice Number; 1918847
Q & B Matter Number: 144009,00002 Page a
Total fees:
DISBURSEMENTS:
$ 14,724.50
01/03/14 Pacer research charges $ 0.20
01/03/14 Pacer research chargas 0.4Q
O1/.Q3/14 Pacer research charges 0,20
Q1/03/14 Pacer research charges 0.50
01/03/14 Pacer research charges0.3U
01/1S/lA Pacer research charges0.40
Total ~isbursemsnts: ~_...__.,_, 2.OQ
Total Fees and Disbursements: ~, 14.726.50
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 21 of 42
411 East Wisconsin Avanue Attorneys at Law in;
Suite 2350 Chicago, Illinois
Milwaukcc, WI 53202 Milwaukee and Madison, Wisconsin
Tel. 41h.277.500~ Naples and Tampa, Florida
Fax 414.271,3552 Phoenix and Tucson, Arizona
TNV4ICE SUMMARY ~'~+'~9Uer~es.com Washington, n~
1'ax ID No. 39-0432630
Invoice Number: 1930053 Privileged &Confidential
Invoice Aate: March 20, 201
Archdiocese of Milwaukee Debtor-in-Possession
Attn: John Marek3501 South Lake DriveSt, Francis, WI.532Q7
For Professional. Services Rendered Through February 28, 2014
Re: Special Counsel in Bankruptcy for Litigation
Q 8c B MatterNumber: 1~~4009.00002
Current Fees: $ 2,602.00
Current Disbursements: $ 55.10
Current Total Due: $ 2,657.10
TOTAL AMOUNT DUE: ~ 2.657.10
INVOICE IS PAYABLE 'fJPON 12~CEIPT
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 22 of 42
Archdiocese of Milwaukee Debtor-in-Possession (Chapter 11 Proceeding) Macch 20, 2014
R~: Special Counsel in Bankruptcy for litigation Invoice Number: 1930053
Q & B Matter Number: 144009.000Q2 Page 2
Date pescription Prafessiona! Hours Task Code
02/03/14 Process servics of papers on OneBeacon to be filed JAR Q,40 B120
with the Court (.40).
02/06/14 Review briefs regarding relief from stay (,40). DPM 0.40 B 120
02/13/14 Review plan of reorganization regarding insurance JAT~ 2.10 8120
issues and next steps (2.10},
02/13/14 Review key plan provisions (,40). DPM Q.40 X120
02/16/14 T'ollow-up an issues relative to plan (.30). DPM 0.30 B120
02/20/14 Review of QDRO related issues (.7Q). RROTHA.CK 0.70 B220
02/24/]4 Review answer of OneBeacon sent by WHD (.30). JAR 0.30 B120
02/24/14 Consider next steps regarding answer of JAR 0.30 8120
OneBeacon. (,3Q).
02/2S/14 Review OneBeacon response (.30). DPM 03Q B12Q
02/27/14 Review OneBeacon pleadings and provide advices DPM 0.30 X120
regarding responses (.30).
~'EE SUMMARY:
[D Name Hours Rate Amount
pPM David P. Muth 1.70 AOQ,00 680.00
JAR Jahn A. Rothstein 3.10 515.0 1,596.50
RROTHA.CK Robert D. Rothaaker 0.70 465.00 325,50
Total S.SO 2,602.00
Total Fees:
pISBURSEMENTS:
$ 2,602.00
02/07/14 Process Service Service on OneBeacon Insura~ae Company $ 55,00
02/17/14 Pacer research charges 0,10
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 23 of 42
Archdiocese of Milwaukee Debtor-in-Possession (Chapter 1 I Proceeding)
R~; Special Counsel in Bankruptcy for Litigation
Q & B Matter Number. 1X4009.40002
Total Disbursements:
March 2Q, 2014Invoice Number; 1934Q53Page 3
~ 55.10
Total Fees and Disbursements; $ 2.657.10
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 24 of 42
al I fast Wisconsin Avenue Attorneys at Law in'
Suitt 2350 Chicago, Illinois
Milwaukee, W] 53202 Mllwaukce and Madison, Wisconsin
Tel. 4.14.277.5000 Naples and Tampa, Florida
Fax 414,271.3552 Phoenix aiid Tucson, Arizona
INVOICE SUMMARY W~'~'•9uarles,com Washington, DC
Tax ID No, 39.0432630
lnvoica Number; 1940843 Privileged &Confidential
Invoice Date: Apri128, 2014
Archdiocese of Milwaukee Debtor-in-Possession
Attn: John Marek3501 South Lake DriveSt. Francis, WI 53207
For Professional Services Rendered. Through March 31, 201 Q
Re: Special Counsel in Tiankruptcy for ~,itigation
Q 8c B Matter Number; l 44009.00002
current Fees:
Current Taal Due:
TOTAL AMOUNT DUE;
$ 5,349.00
$ 5,349.00
1NVOTCE IS PAYABLE UPQN RECEII'T
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 25 of 42
Archdiocese of Milwaukee Debtor~in-Possession (Chapter 11 T'roceeding) Apri128, 2014
R.E; Special Counsal in Bankruptcy for.Litigation Tnvaice Number: 19~}08~3
Q & B Matter Number. 144009.00002 Page 2
Date Descrdptron Professional Hours Task Cade
03/06/14 Follow-up with apposing oounsel regarding inquiry DPM 0.30 B140
from Wisconsin Swprerr►e Court, (.30)
03/07/14 Prepare status report to Wisconsin Supreme Court DPM 0.40 B140
(.4Q):
03/07/14 Call to Ken Axe regarding Supreme Court Order JAR 0.20 B140
regarding bankruptcy status (.20).
03/07/14 Review Order from Supreme Court and consider JAR 0.20 B14Q
responses (.20).
Q3/1 1/1~ Review litigation status (,20). DPM 0,20 8120
03/] 2114 Review brief to lift stay sent by WHD (.90). JAR 0.90 B 12Q
03/12!14 Prepare for and attend hearing before Judge Susan JAR 2,20 B120
Kelley on motion by OneBeacon to lift the stay to
allow Wisconsin Supreme Gourt to rule on Petition
on insurance coverage appeal (2.20).
03/12/14 Conference with Mx. Diesing regarding next steps JAR 0.30 B120
on insurance and OneBeacon (,30).
03/t'7/14 Provide background on insurance appeal before JAR 0.30 B12Q
Wisconsin Supreme Court (.3Q}.
03/17/l4 Provide intormatian to D. Diesin~ regarding report JAR 0:20 X120
due to Wisconsin Supreme Caurt (.20).
03/17/14 Edit proposed report to Supreme Court an status of JAR 0,30 B 120
bankruptcy (,30).
03/1 7/14 Conference with Ken Axe regarding report to JAR O.ZO B 120
Supreme Court (.20),
03/17/14 Review and report an M.K. claim history (,60), JAR 0.60 8110
Q3/18/l~i Review issues relative t~ M.K. proof of claim (.40), DPMQ.40 Bl l0
03/20/14 Review issues regarding policy language for certain DPM Q.40 B 120
primary and excess policies (,~0),
03/20/14 Work on fee application in light of pending mt~tion JAR O,bO B160
(. b0).
03/24/14 Reviaw OneBeacon's reply brief (.60). DFM Q.60 B]40
03/2S/14 Edit ar~d amend report to Wisconsin Supreme Court JAR 0.80 B140
on status of bankruptcy (.80).
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 26 of 42
Archdiocese of Milwaukee Debtox-in=T?ossession (Chapter l 1 Proceeding) April 28, 2014
RE; Special Counsel in Bankruptcy for Litigation Invoice Number: 1940843
Q & B Matter Number: 144009.00002 Page 3
Date Aescrrption Professional Hours Task Code
03/2S/14 Obtain requested changes and additions by WI-ID JAR 0.30 B140
and inearporate into report (.3 Q).
03/25/ 14 Galls to lawyer for Lloyd's counsel and to lawyer JAR 0.70 B 140
for victims/survivors regarding Supreme Courtreport (.70).
03/25/14 Prepare letter to Supreme Court (.10): JAR 0,10 B 140
03/25/1 Oversee service and filing report in Madison (.70). JAR 0.70 B140
FEE SUMMARY:
ID Name Hours Rate Amount
DPM David P. Muth 2.30 40Q.00 920.00
JAR ,John A. Rothstein 8.60 515.00 4,429.00
Total 10,90 5,348,00
Total Pees: $ 5,349,00
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 27 of 42
411 East Wisconsin Avenue AtCgrncys at 4aw in:
Suite 2350 Chicago, lliinois
Milwaukee, Wl 53202 Milwaukee and Madison, Wisconsin
Tal. 414.277,5000 Naples and Tampa, Florida
Pa~c 414,271.3552 Ahoenix and Tucson, Arizona
INVOICE SUMMARY" µ'H'W~9uarles.com Washington, [~C
Tax ID Np. 33-OA32630
lnvaice Number: 1946767 Privileged &Confidential
Ittvaice Date. May l S, 2014
Archdiocese of Milwaukee Debtor-in-Possession
Attn; John Marek3501 South lake DriveSt. Francis, WI 53207
For Professional Services Rendered Through April 30, 2014
Re: Special Counsel in Bankruptcy for Litigation
Q & B Matter Number; 1440Q9.440Q2
Current Fees; $ 85.00
Current Disbursements; $ 2$.63
Current Total Due: $ 863.63
TOTAL AM(.)UNT DUE: $ 86,{3
INVOICE IS PAYABLE UPON K~CEIPT
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 28 of 42
Archdiocese of Milwaukee Debtor-in-Possession (Chapter 11 Proceeding) May 1S, 2014
TtE; Special Cpunsel in Bankruptcy for Litigation Invoice Number; 1946767
Q & B Matter Number: 144009,00002 Page 2
Date Description Professional Hours Task .Cade
04/0/14 Review objection to disclosure statement submitted JAR 0,70 B110
by creditors' committee (.70).
04/04/14 Review objection by CNA to disclosure statement JA.R U.30 8120
(,30).
Q4/07/14 Review status of litigation issues relsvant'to DPM 0,30 B110
disclosure statement (,3Q).
04/08/14 Review insurer's objection to disclosure statement DPM 0.30 8120
(.30).
04/21 / 14 Review issues regarding; payments to various IDPM 0.20 B 110
entities in compliance with bankruptcy status (.20).
FEE SUMMARY:
TD Name Hours Rate Amount
DPM
JAR
David P. Muth
John A. Rothstein
0.$0
1 AO
400.00
515,00
320,00
515.00
Total 1,80 &35.00
Total Fees; $ 835.00
DISBURSEMENTS:
04/18/14 Scraml Couriers 3/25/14 delivery from Badger Bus to Supreme $ 13.50
Court
04/21/14 Badger Coaches, Inc Bader Bus freight charge far delivery. to 6.00
Madison an 3/2512Q14
04/28/14 UPS delivery to Michael Sneesby -Milwaukee WI 9.13
Total Disbursements: ~ 28.63
Total Fees and Disbursements: $ 86 .63
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 29 of 42
41 I East Wisconsin Avenuc Attorneys at Law in:
Suite 2350 (;hicago, Illinois
Milwaukee, WI 53202 Milwaukee and Madison, Wisconsin
Tel, 414,277.5(500 Naples and Tampa, Florida
Fa~c A1A.271.3552 Phoenix and Tucson, Arizona
INVnTCE SUMMARY ~'k'~9usrlas,com Washington, DC
Tax YD No. 39-0432630
invoice Number; 1960228 Privileged &Confidential
Invoice Date; June 3Q, 2014
Archdiaeese of Milwaukee Debtar-in-Possession
Attn: John Marek3501 South ~.ake DriveSt. Francis, WT 53207
For Professional Services Rendered Through May 31, 2014
Re; Special Counsel in Bankruptcy for Litigation
Q & B Matter Number: 144009.00002
Current Fees; $ 1,66330
Current Disbursements: ~.,,, 0.40
Current Total Due: $ 1,663.70
TOTAL AMOUNT D~C.IE: ~, T„~ ~
TN'VOICE IS PAYABLE'[TPtON RECEIPT
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 30 of 42
Archdiocese of Milwaukee Debtor-in~Passession (Chapter 11 Proceeding) ,Tune 30, 201a
R.E. Special Counsel in Bankruptcy fqr Litigation Invoice Number: 1960228
Q & B Matter Number; 144009,00002 Page 2
Date Description Professional Hours 7"ask Code
OS/O1/1~ Consider various issues relatingta former MF1 0.10 $210
employee's personnel records request. (.1Q)
05/02/14 Telephone conference with client regarding DBK 0.40 B210
restrictions an communicating with medical
professionals and spouse. (.A0)
05/13/14 Analyze issues regarding the annual distribution MBANDERS 0.10 X220
from the pension plan that is used to pay for retiree
health eovarage. (.10)
OS/1S/14 Conference cal! with client regarding lay RROTHACK 0.50 8220
employees plan. (.SOj
05/16/14 Review at'lega! issues in connection with transfer RROTHACK 1,~0 8220
of funds. (1,40)
OS/19114 Analyze issues with distributions from the pension MBANDERS 0..30 B220
plan to pay for reCiree health coverage. (.30)
05/20/14 Consider issues regarding hearing in bankruptcy JAR 0,30 B22Q
case and insurance question. (.3Q)
US/21114 Review of QDRO related issues. (.30) RIZOTHACK 0.30 8220
05/30/14 Tteview outstanding; issues regarding; pre-trial plans, DPM 0.3Q B12U
(.30)
FEE SUMMARY:
ID ___ Name Hours Rate Amount
D8K David B. Kern 0,40 4$0,00 192.00
DAM David P. Muth 0.30 400,QQ 120.00
JAR John A. Rothstein Q.30 515.00 154.50
MF 1 Michael J, Fischer 4.10 390.00 39.00
RRUTHACK Rabeit D. Rothacker 2.20 4GSA0 1,023.00
MEANDERS Marla B. Anderson 0.40 337.00 134.80
Total 3,70 1,663.30
Total Fees: $ 1,663.30
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 31 of 42
Archdiocese of Milwaukee Debtor-in-Possession (Chapter I 1 Proceeding) June 30, 2014
RE: Special Counsel in Bankruptcy for Litigation Tnvaice Number: 1960228
Q & B Matter Number; 144009.00002 Page 3
DISBURSEMENTS:
QS/OS/14 Pacer research charges $ 0.20
05/OS/14 Pacer research charges 0.20
Total Disbursements:
Total Fees and Disbursements:
$ 4,40
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 32 of 42
411 East Wisconsin AvenueSuite 2350Milwaukee, W] 53202"I'el. 414.277.5000~~ nra,2~i,~ssz
INVOICE SUMMARY ~+'~+'•quarics.com
Invoice Number. 1969204lnvaice Date: July 30, 20:14
Archdiocese- of Milwaukee Debtor-in-Possession
Attn: John Marek3501 South sake DriveSt, Francis, WI 53207
For Prafessianal Services Rendered Through .tune 30, 2014
Ste: Special Counsel in Bankruptcy for Litigation
Q &. B Matter Number: 144Q09.00002
Current Fees:
Current Total Due.
TOTAL AMOUNT DUB:
Attorneys at L.aw in:Chicago, IllinoisMilwaukee and Madison, WiswnsinNaples and Tampe, FloridaYhnenix and'1'ucson, ArizonaWashington, DC
Tax IA No, 39-OA32b30
Privileged & Confdential
$ 1,423.00
$ 1,423.Qp
INVOICE IS PAYABLE UPON RECEII'T
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 33 of 42
Archdiocese of Milwaukee Debtor-in-Possession (Chapter 11 Proceeding) July 30, 2014
RE: Special Counsel in Bankruptcy far Litigation Invoice Number; 19b9204
Q & B Matter Number: 144009.00002 Pale 2
Date Descripttun Professional Hours Task Code
06/02/14 Monitor status of procedural agreements with DPM 0.20 B 140
insurers as to pretrial plan.
06/03/lA Review and approve final joint pretrial plan report. DPM 0.20 B120
06109/14 Follow-up on potential settlement strategy with DPM 0.30 6120
pneBeacon.
06/16/14 Review OneBeacon's apposition to motion to DPM 0.30 8120
compel ADR,
06/16/14 Review of domestic relations order to send email to RROTHACK l .10 8220
client.
Ob/20/ 14 Conference with client regarding damestic relations RROTHACK 0,60 8220
order.
06/23/14 Conference regarding QDRO issues, prepare RROTHACK 0.50 B220
QDRO 1 titter,
~'EE SUMMARY:
!U Nams Hours Rate Amount
DPM David P, Muth 1.00 A00.00 400.OQ
RROTHACK Robert D, Rothacksr 2.ZQ 46S.OU 1,023.00
Total x.20 1,423.00
Total Fees: $ 1,423.00
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 34 of 42
Qi 1 Gast Wisconsin Avenue Attorneys at Law in:
Suite 2350 Chicago, Illinois
Milwaukee, Wl 53202 Milwaukee and Madison, Wisconsin
Tel, 414.277.5000 Naples and Tampa, Piorida
Fax 414.271,3552 Phoenix and Tucson, Arizona
INVOICE SUMMARY~'~quarles.com Washington, DC
Tax CD No, 39-0432630
Invoice Number: 1972586 Pt•ivileged &Confidential
Invoice Date. August 07, 2014
Archdiocese of Milwaukee Debtor-in-Possession
Attn: John Mar~ek3501 South Lal<e DriveSt. Francis, WY 53207
Por Professional Services Rendered Through July 31, 2Q14
Re: Special Counsel in Bankruptcy for Litigation
Q & B Matter Numbai•: 144009.00002
Current Fees:
Current Total Due:
TOTAL AMOUNT DUE:
$ 707.50
707.50
$ 707.50
INVOICE IS PAYABLE UPON R~C~IPT
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 35 of 42
Archdiocese of Milwaukee Debtor-in-Possession (Chapter 11 Proceeding) August 07, 2014
RE; Special Counsel in Bankruptcy for Litigation Invoice Number; 1972586
Q & B Matter Number. 144009.00002 Page 2
Daze Description Professio►zczl Hours Task Code
07/17/]4 Coordinate issues regarding specific proof of DPM 0.30 Bl 10
claims including former litigation, (.30)
07/18/14 Receive request for a copy of the dismissal order DXW 0.90 LI40
far (Joh~t Doe 67B); review databases and pull
from key files from warehouse and send via email
copy of order. (.90)
07/31/14 Review decision by Court on mediation with JAR 0.20 B120
insurers (.20),
Q7/3 1/14 Review status of adversary case against Oa~eBeacon JAR 0.30 8120
(.30).
07/31/14 Consider names and information needed for initial JAR 0.30 B120
disclosures. (,30)
FEE SUMMARY:
ID Name Hours Rate Amount
DPM
JAR
DXW
David P. Muth
John A, Rothstein
Donna M. Woida
0.30
0.80
0.90
400.00
515.00
195.00
120.00
412,00
175,50
Total 2.00 707.50
Total Fees: $ 707,50
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 36 of 42
Exhibit B
Cate~ory Breakdowns Per ABA Bankruptcy Litigation Task Codes
QB\18'708234.1
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 37 of 42
Archdiocese of MilwaukeeBilling Report by Task Code for 12/1/2013 to 7/31/2014
Task Code Hours
Bl 10 2.9B120 50.3B 140 9.1B160 10.1B 190B210 1.3B220 11.1
Total 84.8
QF3\291(1117.1
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 38 of 42
EXPENSE BREAKDOWN AND SUMMARY
a. UPSb. PACER Chargesc. Process Serverd. Courier Deliverye. Badger Bus Delivery to Supreme Court
Net Expenses
9.132.50
SS.0013.506.00
$86.13
QB~2,9160956.1
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 40 of 42
Exhibit DMultiple Persons in Attendance
N/A
QB\18708234. t
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 41 of 42
EXHIBIT EARCHDIOCESE OF MILWAUKEE
20% HOLDBACK F120M PERT011S BLFOI2~ 5-1-2014
Fee Starting Invoice 100% Fees 20% Unpaid
Period Number Holdback
12/1/2013 19139421/1/2014 1918$472/1/2Q14 19300533/1/2014 19409434/ 1 /2014 1946767
TOTAL
13,660.00 2,732.0014,724. S 0 2,944.902,602.00 520,4Q5,349.00 1,069.80835.00 167.Q0
7,434.10
QI3~29162834.1
Case 11-20059-svk Doc 2801 Filed 08/15/14 Page 42 of 42
UNITED STATES BANKRUPTCY COURT
FOR THE EASTERN DISTRICT OF WISCONSIN
In re:
Archdiocese of Milwaukee
Debtor in Possession,
Case No. 11-20059-SVKChapter 11
NOTICC OF FIFTH INTERIM APPLICATION FOR FED COMPENSATION
AND REIMBURSEMENT OF EXPENSES
(FROM DECEMBER 1, 2013 TO JULY 31, 2014) AND FOR PAYMENT OF MATURED
PREVIOUS 20%HOLDBACKS OLDER THAN 90 DAYS
OF QUARLES & BRADY LLP AS SPECIAL COUNSEL TO THE DEBTOR
To: Interested Parties
PLEASE TAKE NOTICE that Quarles &Brady LLP, as special counsel to the
Archdiocese of Milwaukee ("Debtor"), has filed its Pifth Application for Interim Fee
Compensation and Reimbursement of Expenses for the period of December 1, 2013 through July
31, 2014 together with payment of previous unpaid 20% holdback amounts older than 90 days.
A copy of the Application is attached to 'this notice. The Fees and Expanses are as follows;
Applicant 80% of Stll Period Fees 5th Period Expenses Past 20%Holdbacks "Total
Quarles &Brady LLP $32,771.44 $86,13
Prepared by:John A. RothsteinQuarles &Brady LLP411 E. Wisconsin Ave,Milwaukee, WI 53202(414) 277-5000 (telephone)(414) 978-8851 (fax)email; john.rothstein a quarles.com
$7,434.10 X40,291.67
QB\29039225.1
Case 11-20059-svk Doc 2801-1 Filed 08/15/14 Page 1 of 3
Your rights may be affected. You should read these payers carefully and discuss
them with your attorney, if you have one in this bankruptcy case. (If you da not have an
attorney, you may wish to consult one.)
If you do not want the Court to approve the application, ar if you would like the Court to
consider your views on it, then within 14 days of the date of this notice, you or your attorney
must:
File with the court a written objection to the applications) for compensation and
reimbursement of expenses and. a request for a hearing at:
Clerk, U.S. Bankruptcy CourtRoom 126, Federal Courthouse517 E. Wisconsin AvenueMilwaukee, WI 53202
2. If you mail your objection to the court for filing, you must mail it early enough so
the court will receive it on or before the date stated above.
You must also mail a copy to:
John A. RothsteinDavid P. MuthQuarles &Brady LLP411 E. Wisconsin Ave. -Suite 2350
Milwaukee, WI 53202
If you mail your Response to the Court for filing, you must mail it early enough so the
Court will receive it on or before the date stated above.
If you ox your attorney do not take these steps, the Court may decide that you do not
oppose the motion and may enter an order approving it without further notice or hearing.
QB\29039225.1
Case 11-20059-svk Doc 2801-1 Filed 08/15/14 Page 2 of 3
Dated: August 15, 2014.
s/John A. RothsteinJohn A. RothsteinDavid P. MuthQuat les &Brady LLP
411 E. Wisconsin Ave., Suite 2040
Milwaukee, WI 53.202j ohn, rothstein(a~quarles, corn
david.n1ut11(a~4quarles, cam
Special Counsel to the Debtor
QB\29039225.1
Case 11-20059-svk Doc 2801-1 Filed 08/15/14 Page 3 of 3