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IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In Re: PACIFIC ENERGY RESOURCES LTD., et al.

, Chapter 11

Case No. 09-10785 (KJC) Debtor EIGHTEENTH APPLICATION OF SCHULLY, ROBERTS, SLATTERY & MARINO PLC FOR COMPENSATION FOR SERVICES RENDERED AND REIMBURSEMENT OF EXPENSES AS SPECIAL OIL & GAS AND TRANSACTIONAL COUNSEL TO THE DEBTORS AND DEBTORS-IN-POSSESSION FOR THE PERIOD FROM AUGUST 1, 2010 THROUGH AUGUST 31, 2010 Name of Applicant: Authorized to Provide Professional Services to: Date of Retention: Period for which compensation and reimbursement is sought: Amount of Compensation sought as actual, reasonable and necessary: Amount of Expense Reimbursement sought as actual, reasonable and necessary: This is an: X interim final application Schully, Roberts, Slattery & Marino PLC (the "Firm", Special Oil & Gas and Transactional Counsel for the Debtors Pacific Energy Resources Ltd., et aL ("Debtors and Debtors-in-Possession") March 8, 2009 August 1, 2010 through August 31, 2010

$9,239.00 $0

The total time expended for fee application preparation is approximately 3 hours and the corresponding compensation requested is approximately $900.00.

The Debtors in these cases, along with the last four digits of each of the Debtors federal tax identification number are: Pacific Energy Resources Ltd. (3442); Petrocal Acquisition Corp. (6249); Pacific Energy Alaska Holdings, LLC (tax I.D. # not available); Cameros Acquisition Corp. (5866); Pacific Energy Alaska Operating LLC (7021); San Pedro Bay Pipeline Company (1234); Cameros Energy, Inc. (9487); and Gotland Oil, Inc. (5463). The mailing address for all of the Debtors is 111 W. Ocean Boulevard, Suite 1240, Long Beach, CA 90802.

Local Form 101 (Fee Application Cover Sheet)


021.28

a.2795.july.bill

ATTACHMENT B TO FEE APPLICATION


Name of Professional Person Name of the Applicant, Number of Years in that Position, Prior Relevant Experience. Year of Obtaining License to Practice, Area of Expertise Shareholder 1995, Member of Louisiana Bar since 1985; oil & gas and transactional services Associate 2007, Member of Louisiana Bar since 1976; oil & gas and transactional services Associate 2007, Member of Louisiana Bar since 1987; oil & gas and transactional services Associate 2002, Member of Louisiana Bar since 2002; oil & gas and transactional services Associate 2007, Member of Louisiana Bar since 2005; oil & gas litigation Associate 2009, Member of Louisiana Bar since 2009; oil and gas and transactional services Paralegal Paralegal Hourly Billing Rate (including changes) $450.00 Total Billed Hours Total Compensation

Anthony C. Marino

Herman E. Gamer

$385.00

Lynn G. Wolf

$300.00

21.30

$6,390.00

Kathleen L. Doody

$250.00

Emile Dreuil, HI

$225.00

Edward L. Boudreaux, III

200.00

Joan G. Seelman Diane M. Castle

$275.00 $225.00 $185.00 15.40 $2,849.00

Paralegal Chantelle C. Boudreaux I Grand Total: $9,239/00 Blended Rate: $242.50

Local Form 102 (Fee Application/Attachment B)


021.28_a.2795.july.bfll

IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: )
)

Chapter 11 Case No. 09-I 0785(KJC) (Jointly Administered)

PACIFIC ENERGY RESOURCES LTD., et al., 2 ) ) Debtors. )


)

Deadline for Objections:

2010 at 4:00 p.m. prevailing Eastern time

EIGHTEENTH VERIFIED MONTHLY APPLICATION FOR COMPENSATION AND REIMBURSEMENT OF EXPENSES OF SCHULLY, ROBERTS, SLATFERY & MARINO PLC AS SPECIAL OIL & GAS AND TRANSACTIONAL COUNSEL FOR THE DEBTOR AND DEBTOR IN POSSESSION FOR THE PERIOD FROM AUGUST 1, 2010 TO AUGUST 31, 2010
Pursuant to sections 330 and 331 of Title 11 of the United States Code (the "Bankruptcy Code"), Rule 2016 of the Federal Rules of Bankruptcy Procedure (collectively, the "Bankruptcy Rules"), and the Courts "Administrative Order Under 11 U.S.C. 105(a) and 331 Establishing Procedures for Interim Compensation and Expense Reimbursement of Professionals and Committee Members," entered on or about April 15, 2009 (the "Administrative Order"), Schully, Roberts,

Slattery & Marino PLC (or the "Firm"), Special Oil & Gas and Transactional Counsel to the Debtors and Debtors in Possession ("Debtor"), hereby submits its Eighteenth Verified Monthly Application (the "Application") for Compensation and for Reimbursement of Expenses for the Period from August 1, 2010 through August 31, 2010 (the "Interim Fee Period") in the

2 The Debtors in these cases, along with the last four digits of each of the Debtors federal tax identification number, are: Pacific Energy Resources Ltd. (3442); Petrocal Acquisition Corp (6249), Pacific Energy Alaska Holdings, LLC (tax I.D. # not available); Cameros Acquisition Corp. (5866); Pacific Energy Alaska Operating LLC (7021); San Pedro Bay Pipeline Company (1234); Cameros Energy, Inc. (9487); and Gotland Oil, Inc. (5463). The mailing address for all of the Debtors is Ill W. Ocean Boulevard, Suite 1240, Long Beach, CA 90802.

021 28a 2795 august.fees

amount of $9,239.00 and actual and necessary expenses in the amount of $0 for a total allowance of payment of $7,391.20(80% of the allowed fees) and reimbursement of $0 (100% of the allowed expenses) for a total payment of $7,391.20. In support of this Application, the Firm respectfully represents as follows: Retention of Schully, Roberts, Slattery & Marino PLC 1. The retention of the Firm, as counsel to the Debtor, was approved effective as of

April 8, 2009, by this Courts "Order Granting Debtors Application to Retain Schully, Roberts, Slattery & Marino PLC as Special Oil & Gas and Transactional Counsel Nunc Pro Tunc Pursuant to Section 327(e) of the Bankruptcy Code and Bankruptcy Rule 2014" entered on or about April 15, 2009 (the "Retention Order"). The Retention Order authorized the Firm to be compensated on an hourly basis and to be reimbursed for actual and necessary out-of-pocket expenses. Summary of Services Rendered 2. Attached hereto as Exhibit A is a detailed statement of fees incurred during the

Interim Fee Period showing the amount of $9,239.00 due for fees. 3. The services rendered by the Firm during the interim Fee Period are grouped into

a single category related to the Firms role as Special Oil & Gas and Transactional Counsel for the Debtor. 4. During the Interim Period, the Firm, among other things: (1) communicated with

regulators in response to requests from the Debtor relative to reporting requirements, and pending litigation; (2) assisted Debtor in the preparation of memoranda relating to oil and gas and transactional legal issues, and in the review of continued abandonment of oil and gas assets and related property and the title issues thereto related; and (3) expended time addressing issues for

021 28_a 2795 august.fees

bankruptcy counsel defending adversary actions, in particular, the claims of Marathon and Union. 5. The Firm spent a total of 36.70 hours and incurred fees in the amount of $9,239.00 in

providing these oil and gas and transactional services to the Debtors. 6. A more detailed identification of the actual services provided is set forth on the

attached Exhibit A. Exhibit A identifies the attorneys and paraprofessionals who rendered services relating to each category, along with the number of hours for each individual and the total compensation sought for each category. Summary of Services by Project 7. The services rendered by SRSM during the Interim Period can be grouped into

the categories set forth below. SRSM attempted to place the services provided in the category that best relates to such services. However, because certain services may relate to one or more categories, services pertaining to one category may in fact be included in another category. These services performed, by categories, are generally described below, with a more detailed identification of the actual services provided set forth on the attached Exhibit A. Exhibit A identifies the attorneys and paraprofessionals who rendered services relating to each category, along with the number of hours for each individual and the total compensation sought for each category. B. 8. Bankruptcy Litigation During the Interim Period, the Firm, among other things: (I) performed work

regarding secured creditor matters; (2) performed work regarding threatened litigation, and ongoing adversary actions, in particular, the Marathon and Union claims; (3) performed work regarding Notices and Hearings; (4) performed legal research; (5) assisted bankruptcy counsel

021 28_a 2795 august.fees

in oil and gas matters, particularly in abandonment liability scenarios; (6) performed extensive document research; (7) drafted additional documents regarding regulatory, bonding and property issues; (8) performed work regarding objections; and (9) corresponded and conferred regarding bankruptcy litigation matters. 9. During the Interim Period, the Firm, among other things: (1) maintained a

memorandum of Critical Dates; (2) maintained document control; and (3) reviewed correspondence and pleading and forwarded them to appropriate parties. Fees: $5,819.00 C. 10. Professional Fees During the interim period, the Firm worked with the fee auditor and the Debtor to Hours: 25.3

address billing issues and made fee adjustments as required by the Court as well as reviewed fees from other professionals and corresponded with bankruptcy counsel regarding objections and hearings. The Firm participated in conference calls to address associated issues. Approximately 3.0 hours were expended in preparing the Interim Report for the fourteenth reporting period. Fees: $3,420.00 DISBURSEMENTS 11. Period. Valuation of Services 12. Attorneys and paraprofessionals of the Firm have expended a total of 36.70 hours The Firm has incurred no out-of-pocket disbursements during the Interim Fee Hours: 11.4

in connection with this matter during the Interim Fee Period. 13. The amount of time spent by each of these persons providing services to the

Debtors for the Fee Period is fully set forth in the detail attached hereto as Exhibit A. These

021 28_a 2795 august.fees

are the Firms standard hourly rates of compensation for work of this character. The reasonable value of the services rendered by the Firm for the Interim Fee Period as Special Oil & Gas and Transactional Counsel for the Debtor is $9,239.00. 14. The Firm believes that the time entries included in Exhibit A attached hereto are

in compliance with the requirements of Local Rule 2016-2. 5 In accordance with the factors enumerated in 11 U.S.C. 330, the amount requested

is fair and reasonable given (a) the complexity of this case, (b) the time expended, (c) the nature and extent of the services rendered, (d) the value of such services, and (e) the costs of comparable services other than in a case under this title. 16. This Application covers the Interim Fee Period from August 1, 2010 through

August 31, 2010. WHEREFORE, the Firm respectfully requests that, for the August 1, 2010 through August 31, 2010 period, an interim allowance be made to the Firm for compensation in the total allowance of $7,391.20(80% of the allowed fees) and reimbursement of $0 (100% of the allowed expenses).

021 28a 2795 august.fees

EXHIBIT A COMPENSATION BY CATEGORY

EXPENSE SUMMARY Expense Category (Examples) Service Provider (if applicable) Total Expenses

PRIOR APPLICATIONS FILED )ate Filed Period Covered 3/09/09-03/31/09 4/01/09 04/30/09 5/01/07 05/31/09 6/01/09 06/30/09 07/01/09 07/31/09 8/01/09 08/31/09 9/01/09 09/30/09 10/01/09-10/31/09 11/01/09-11/31/09 12/01/09 12/31/09 01/01/10 01/31/10 02/01/10 02/28/10 03/01/10 03/31/10
-

Requested Fees $88,261.73 $103,653.50 $95,177.00 $108,679.50 $219,508.50 $149,092.50 $101,985.00 $80,202.50 $130,043.75

Requested Expenses $1,201.20 $797.22 $1,107.23 $396.69 $661.23 $247.50 $30.89 $863.91 $1,253.29

Approved Fees

Approved Expenses

021 28_a 2795 august.fees

04/01/10-04/30/10 05/31/10 05101110 06/30/10 06/01/10 07/31/10 07/01/10 08/01/10 08/31/10


-

021 28_a 2795 august.fees

VERIFICATION

STATE OF LOUISIANA PARISH OF ORLEANS Anthony C Marino, after being duly sworn according to law, deposes and says: I am a shareholder of the applicant law firm Schully, Roberts, Slattery & Marino ("the "Firm"). a) I am thoroughly familiar with the work performed on behalf of the

Debtors by the lawyers and paraprofessionals of SRSM. b) I have reviewed the foregoing Application and the facts set forth therein

are true and correct to the best of my knowledge, information and belief. Moreover I have reviewed Del. Bankr. LR2O1&-2 and the Administrative Order entered on or about April 15, 2009, and submit that the Application substantially complies with such Rule and Order.

ANfl-ION C. MARINO SWORN AND SUBSCRIBED before me This O+C day of , 2010. -xiv--

Lynn G. Wolf Louisiana Bar Ro I Number 230 My Commission ires at eath

IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: )
)

Chapter 11 Case No. 09-10785(KJC) (Jointly Administered)


Objections Deadline: November

PACIFIC ENERGY RESOURCES LTD., et al., ) ) Debtors. )

22, 2010 at 4:00 p.m.

NOTICE OF FILING OF FEE APPLICATION TO: (i) the Debtors; (ii) counsel to the Debtors; (iii) the United States Trustee, and (iv) counsel to the Official Committee of Unsecured Creditors (the "Notice Parties") Schully, Roberts, Slattery & Marino PLC ("SRSM"), special oil and gas and transactional counsel to the debtors and debtors in possession in the above-captioned case (the "Debtors"), has filed its Monthly Application for Compensation and Reimbursement of Expenses of Schully, Roberts, Slattery & Marino PLC as Special Oil and Gas and Transactional Counsel to Debtor and Debtors in Possession, for the Period from August 1, 2010 through August 31, 2010, seeking compensation for services in the amount of $9,239.00 and reimbursement of costs incurred in the amount of $0.00 (the "Application"). PLEASE TAKE FURTHER NOTICE that objections, if any, to the Application must be made in accordance with the Administrative Order Under 11 U.S.C. 105(a) and 331 Establishing Procedures for Interim Compensation and Reimbursement of Expenses for Professionals and Committee Members [Docket No. 147] (the "Administrative Order") and must be filed with the Clerk of the United States Bankruptcy Court for the District of Delaware, 824 Market Street, Wilmington, Delaware 19801, and received by no later than 4:00 p.m. (Eastern
The Debtors in these cases, along with the last four digits of each of the Debtors federal tax identification number are: Pacific Energy Resources Ltd. (3442); Petrocal Acquisition Corp. (6249); Pacific Energy Alaska Holdings, LLC (tax I.D. # not available); Cameros Acquisition Corp. (5866); Pacific Energy Alaska Operating LLC (7021); Cameros Energy, Inc. (9487); and Gotland Oil, Inc. (5463). The mailing address for all of the Debtors is 111 W. Ocean Boulevard, Suite 1240, Long Beach, CA 90802.

Time) on November 2, 2010 (the "Objection Deadline").

Objections or other responses to the Application, if any, must also be served so that they are received not later than November 2, 2010 at 4:00 p.m. prevailing Eastern time, by: (a) the Debtors, (1) Pacific Energy Resources, 111 W. Ocean Boulevard, Suite 1240, Long Beach, CA 90802, Attn: Gerry Tywoniuk, Senior VP & CFO and(2) Zolfo Cooper, 1166 Sixth Avenue, 24th Floor, New York, NY 10036, Attn: Scott W. Winn, Senior Managing Director; (b) counsel to the Debtors, (1) Pachulski Stang Ziehl & Jones LLP, 919 North Market Street, 17 th Floor, Wilmington, DE 19899-8705, Attn: James E. ONeill, Esq.; Fax: 302-652-4400, e-mail: joneill@pszjlaw.com and (2) Pachulski Stang Ziehl & Jones LLP, 10100 Santa Monica Blvd., I lh Floor, Los Angeles, CA 90067-4100; Attn: Ira D. Kharasch, Esq; Fax: 310-201-0760, e-mail: ikharash@pszjlaw.com (c) the Office of the United States Trustee, J. Caleb Boggs Federal Building, 844 N. King Street, Suite 2207, Lock Box 35, Wilmington, Delaware 19801, Attn: Joseph McMahon, Esq. and (d) counsel for the Official Committee of Unsecured Creditors (the "Committee"), (1) Steptoe & Johnson LLP, 2121 Avenue of the Stars, 28th Floor, Los Angeles, CA 90067; Attn: Katherine C. Piper, Esq., Fax: (310) 734-3173, e-mail: kpiper@steptoe.com and (2) Pepper Hamilton LLP, Hercules Plaza, Ste 5100, 1313 N. Market Street, Wilmington, DE 19801; Attn: James C. Carignan, Esq., Fax: (302) 421-8390, e-mail: i carignancpepperlaw.com (the "Notice Parties")

PLEASE TAKE FURTHER NOTICE that if any responses or objections to the Application are timely filed, served and received, a hearing on the Application will be held at the convenience of the Bankruptcy Court. Only those objections made in writing and timely filed and received in accordance with the Administrative Order and the procedures described herein will be considered by the Bankruptcy Court at such hearing.

PLEASE TAKE FURTHER NOTICE that, pursuant to the Administrative Order, if no objection to the Application is timely filed, served and received by the Objection Deadline, the Applicant may be paid an amount equal to the lesser of (1) 80 percent of the fees and 100 percent of expenses requested in the Application or (ii) 80 percent of the fees and 100 percent of the expenses not subject to an objection without the need for further order of the Bankruptcy Court. Dated: November 2, 2010 PACHULSKI STANG ZIEHL & JONES LLP

(~,#Y,,A
. ( .

, 0---,

Ira b harasch Bar No. 109084) Sc tta McFarland (DE Bar No. 4184, CA Bar No. 16539 1) Rob M. Saunders (CA Bar No. 226172) James E. ONeill (DE Bar No. 4042) Kathleen P. Makowski (DE Bar No. 3648) 919 North Market Street, 17 1h Floor P.O. Box 8705 Wilmington, DE 19899-8705 Telephone: 302/652-4100 Facsimile: 310/652-4400 Email: ikharasch@pszjlaw.com smcfarland@pszjlaw.com rsaunders@pszjlaw.com joneill@pszjlaw.com kmakowski@pszjlaw.com Counsel for Debtors and Debtors in Possession.
68773-002\DOCSDE: 165045. 1

EXHIBIT A

42125-001 \DOCS DE:6375. I

SLAUERY, MARINO & ROBERTS


A PROFESSIONAL LAW CORPORATION 1100 POVDRAS STREET, SUITE 1800 NEW ORLEANS, LA 70163-1800 Telephone: 504/585-7800 Facsimile: 504/585.7893
STATEMENT

Internal Revenue Service Tax I.D. No, 72-1180458

Pacific Energy Resources, Ltd. 111W. Ocean Blvd. Suite 1240 Long Beach CA 90802 ATTN: Mr. Darren Katie

OUR FILE NO: STATEMENT NO:

Page: 1 10/29/2010 6476-2795M 28

Forbearance Agreements

HOURS 08/01/2010 LGW (CP) Follow-up correspondence regarding SR Fourth Fee Application; review and preliminary draft of responses; 08/02/2010 LGW (BL)Contlnued work on fee applications and respond to email from Ms. Martinez regarding July services estimate; LOW (BL)Review request regarding Alaska bankruptcy sale and properties included in response to claims of Marathon; extensive file review of complicated transaction; (BL)Continued file review of CIE deal including various issues LOW involved In Donkel adversary action; 08/05/2010 LOW (BL)Receive email from Ms. McFarland regarding Redoubt Unit and Alaska/CIE sale; preliminary file review to locate history of transaction and pertinent documents; extensive online file review; LOW (BL)Continued research on McFarland request regarding Redoubt Unit and Alaska/CIE sale; continued file review to locate pertinent documents; online and storage file review to reconstruct events for purposes of Marathon adversary action; LOW (BL)Draft explanatory email for Ms. McFarland regarding Redoubt Unit and Ataska/CIE sale and Donkel issues leading to dismissal; provide pertinent documents from online and storage review to allow litigators to work with timeline of events for purposes of Marathon adversary action; LGW (BL)Provide explanations of executed PSA and PSA Amendment, Donkel letter agreement and amendment, PSA exhibits and schedules regarding Redoubt Unit and Alaska/CIE; discussion of Redoubt escrow agreement with DNR and what obligations were assumed by CIE under the agreement; discussion of who has rights in the escrow account, 1.10 330.00

0.90 0.90 0.90

270.00 270.00 270.00

0.90

270.00

0.90

270.00

0.90

270.00

0.90

270.00

SLATTERY, MARINO & ROBERTS


STATEMENT

Pacific Energy Resources, Ltd. OUR FILE NO: STATEMENT NO: Forbearance Agreements

Page: 2 10/29/2010 6476-2795M 28

HOURS 08106/2010 LGW (CP)Draft response to Findings of Fee Auditor; telephone calls to and discussions with Mr. Steirer and Ms. Parnell; discussion with Mr. Marino;

1.90

570.00

08/09/2010 LGW LGW

(CP)Receive inquiries regarding July fees from Ms. Martinez and follow up with Ms. Drescher and Mr. Marino; (BL)Receive inquiry from Ms. McFarland together with MMS Objection and review; follow-up with AK and WY regulators to assess status of resolution of items;

0.90

270.00

0.90

270.00

08/10/2010 LGW

(CP)Work on July billings per client instructions to segregate Alaska billings; discussion with Mr. Marino;

0.90

270.00

08/11/2010 1GW

(CP)Receive email from Ms. McFarland regarding Fee Auditor and hearing; follow-up with Mr. Marino; work on preparation of July fee filing;

1.90

570.00

08/13/2010 LGW

(CP)Draft response to Findings of Fee Auditor; telephone calls to and discussions with Mr. Steirer and Ms. Parnell; discussion with Mr. Marino;

1.90

570.00

08/16/2010 CCB CCB CCB 1GW

(BL) Retrieve newly filed pleadings from Pacer and evaluate new issues (.90); (BL) Continue review of new pleadings, evaluate and create a memo for Ms. Wolf (.90); (BL) Continue review of adversary actions and discuss with Ms. Wolf (.50); (CP)Receive request for information regarding July fees from Ms. Martinez; break out Alaska fees and reply; preliminary preparation of July filing for court discussion with Mr. Marino;

0.90 0.90 0.50

186.50 166.50 92.50

1.10

330.00

08/17/2010 LGW

(CP)Discuss draft response to Findings of Fee Auditor with Mr. Marino; discuss case law and provisions of bankruptcy code; continued work on July filing;

1.90

570.00

SLATTERY, MARINO & ROBERTS


STATEMENT

Pacific Energy Resources, Ltd. OUR FILE NO: STATEMENT NO: Forbearance Agreements

Page: 3 10/29/2010 6476-2795M 28

HOURS 08/19/2010 CCB CCB LGW (81) Retrieve newly filed pleadings from Pacer and evaluate new issues (.90); (BL) Continue review of new pleadings, evaluate and create a memo for Ms. Wolf (.50); (BL)Receive request from Ms. McFarland to review WY documents in response to MMS Objection; begin review and determine how to proceed with Ietter, (BL)Continued review WY documents in response to MMS Objection and determine that there Is liability pursuant to participation agreement but may be limited by BLM bond; legal research on same;

0.90 0.50

166.50 92.50

0.90

270.00

LGW

0.90

270.00

08/20/2010 CCB

(BI) Retrieve newly filed pleadings from Pacer and evaluate new issues (.90);

0.90

166.50

08/25/2010 LOW (CP) Receive Inquiry form Ms. McFarland regarding CNO June; research and respond; 08/26/2010 CCB

0.70

210.00

(BL) Continue review of new pleadings, evaluate and create a memo for Ms. Wolf (.90);

0.90

166.50

08/27/2010 CCB CCB CCB 08/30/2010 CCB CCB CCB CCB

(BL) Retrieve newly filed pleadings from Pacer and evaluate new issues (.90); (BL) Continue review of adversary actions and discuss with Ms. Wolf (.90); (BL) Continue review and analysis (.90);

0.90 0.90 0.90

166.50 188.50 166.50

(BL) Retrieve newly filed pleadings from Pacer and evaluate new issues (.90); (BL) Continue review of new pleadings, evaluate and create a memo for Ms. Wolf (.90); (BL) Continue review of adversary actions and discuss with Ms. Wolf (.90); (81) Continue review and analysis (.90);

0.90 0.90 0.90 0.90

166.50 166.50 166.50 166.50

SLAITERY, MARINO & ROBERTS


STATEMENT

Pacific Energy Resources, Ltd.

Page: 4 10/29/2010 OUR FILE NO: 6476-2795M STATEMENT NO: 28

Forbearance Agreements

HOURS 08/31/2010 CCB CCB CCB CCB (BL) Retrieve newly filed pleadings from Pacer and evaluate new issues (.90); (BL) Continue review of new pleadings, evaluate and create a memo for Ms. Wolf (.90); (BL) Continue review and analysis (.90) (BL) Finalize memo; TOTAL FEES: RECAPITULATION HOURS HOURLY RATE 21.30 $300.00 185.00 15.40

0.90 0.90 0.90 0.90 36.70

166.50 166.50 166.50 168.50 9,239.00

TIMEKEEPER Lynn G. Wolf Chanteile C. Boudeaux

TOTAL $6,390.00 2,849.00

PREVIOUS BALANCE TOTAL CURRENT WORK:

$129,637.26 9,239.00

08/13/2010 0811312010 08/13/2010

Payment Received on Statement No. 22, Check No. 10545 Payment Received on Statement No. 22, Check No. 10545 Payment Received on Statement No. 23, Check No. 10545 TOTAL PAYMENTS BALANCE DUE:

-164.63 -6,903.00 -7,860.00 -14,927.63 $123,948.63

PLEASE INDICATE FILE NUMBER, STATEMENT NUMBER AND STATEMENT DATE ON ALL REMITTANCES

IN THE UNITED STATES BANKRUPTCY COURT FOR THE DISTRICT OF DELAWARE In re: )
)

Chapter 11 Case No. 09-10785 (KJC) (Jointly Administered)

PACIFIC ENERGY RESOURCES LTD., et al., ) ) Debtors. )

AFFIDAVIT OF SERVICE STATE OF DELAWARE COUNTY OF NEW CASTLE ) ) ss: )

Kathleen Forte Finlayson, being duly sworn according to law, deposes and says that she is employed by the law firm of Pachulski Stang Ziehl & Jones LLP, attorneys for the Debtors in the above-captioned action, and that on the 2t
d

day of November 2010 she caused a

copy of the following document(s) to be served upon the parties on the attached service lists in the manner indicated: Notice and Monthly Fee Application of Schully, Roberts, Slattery & Marino PLC as Special Oil and Gas and Transactional Counsel for the Debtors for the Period August 1-31, 2010

KatIjeen Forte Finlason Sworn to andfi,4214 before cril?ed // me this Nvember 2010 Notary Public Commission Exp.
DOCSDE: 147431.1

DBA L. ?OUNG NOTARY pUC STATE OF DEL9 ! crimlCfl CX,

The Debtors in these cases, along with the last four digits of each of the Debtors federal tax identification number, are: Pacific Energy Resources Ltd. (3442); Petrocal Acquisition Corp. (6249); Pacific Energy Alaska Holdings, LLC (tax I.D. # not available); Cameros Acquisition Corp. (5866); Pacific Energy Alaska Operating LLC (7021); Cameros Energy, Inc. (9487); and Gotland Oil, Inc. (5463). The mailing address for all of the Debtors is 111 W. Ocean Boulevard, Suite 1240, Long Beach, CA 90802.

Pacific Energy Resources Ltd. Fee App Service List Case No. 09-10785 Document No. 147432 03 - Hand Delivery 05 - First Class Mail 02 - Overnight Delivery 01 - Interoffice Pouch

Hand Delivery (Counsel to Official Committee of Unsecured Creditors) David B. Stratton, Esquire James C. Carignan, Esquire Pepper Hamilton LLP Hercules Plaza, Suite 1500 1313 Market Street Wilmington, DE 19899 First Class Mail (Debtors) Mr. Gerry Tywoniuk Senior Vice President & CFO Pacific Energy Resources 111 We. Ocean Boulevard, Suite 1240 Long Beach, CA 90802 First Class Mail (Debtors) Mr. Scott W. Winn Senior Managing Director Zolfo Cooper 1166 Sixth Avenue, 24th Floor New York, NY 10026 First Class Mail (Counsel to Official Committee of Unsecured Creditors) Francis J. Lawall, Esquire Pepper Hamilton LLP 3000 Two Logan Square Eighteenth & Arch Streets Philadelphia, PA 19103 First Class Mail (counsel to Official Committee of Unsecured Creditors) Filiberto Agusti, Esquire Steven Reed, Esquire Joshua Taylor, Esquire Steptoe & Johnson LLP 1330 Connecticut Avenue NW Washington, DC 20036

(Counsel for Debtors) Laura Davis Jones, Esquire James E. ONeill, Esquire Kathleen P. Makowski, Esquire Pachulski Stang Ziehi & Jones LLP 919 North Market Street, 17th Floor P.O. Box 8705 Wilmington, DE 19899-8705 Interoffice Pouch to Los Angeles (Counsel for Debtors) Robert M. Saunders, Esquire Ira D. Kharasch, Esquire Scotta E. McFarland, Esquire Pachulski Stang Ziehi & Jones LLP 10100 Santa Monica Blvd., I 1th Floor Los Angeles, CA 90067 Hand Delivery (United States Trustee) Joseph McMahon, Esquire Office of the United States Trustee J. Caleb Boggs Federal Building 844 North King Street, Suite 2207 Lockbox 35 Wilmington, DE 19801 Hand Delivery (Copy Service) Parcels, Inc. Vito I. DiMaio 230 N. Market Street Wilmington, DE 19801

First Class Mail (counsel to Official Committee of Unsecured Creditors) Robbin Itkin, Esquire Katherine Piper, Esquire Kelly Frazier, Esquire Steptoe & Johnson LLP 2121 Avenue of the Stars, 28th Floor Los Angeles, CA 90067

(Overnight Delivery) (The Fee Auditor) Warren H. Smith Warren H. Smith & Associates, P.C. Republic Center 325 N. St. Paul, Suite 1250 Dallas, Texas 75201 Overnight Delivery (Office of the Fee Auditor) Ms. Melanie M. White Warren H. Smith & Associates, P.C. Republic Center 325 N. St. Paul, Suite 1250 Dallas, Texas 75201
68773-001\DOCSDE: 147432.1

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