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Case 1:20-bk-12043 Doc 108 Filed 07/27/20 Entered 07/27/20 15,09,40 Desc Main <br /> Document Page 12 of 13 <br /> 12. The Engagement Letter appropriately reflects (i) the nature and scope of services <br /> to be provided by EVA, and(ii)the fee structures typically utilized by EVA and other leading sale <br /> advisors that do not bill their clients on an hourly basis. <br /> l3. Similar fixed and contingency fee arrangements have been approved and <br /> implemented by courts in other large chapter 1 I cases. See, e.g., In re McDermott Intl, Inc., No. <br /> 20-30336 (Bankr. S.D. Tex. June 16, 2020); In re The McClatch.v Co., No.20-01418 (Bankr. <br /> S.D.N.Y. Mar. 27, 2020); In re Murray Metallurgical Coal Holdings, LLC, No. 20-10390 (Bankr. <br /> S.D. Ohio Mar. 17, 2020); In re Mtn-rav Energy Holdings Co., No. 19-56885 (Bankr. S.D. Ohio, <br /> Dec. 11, 2019); In re Southcross Energj, Partners, L.P., No. 19-10702 (Bankr. D. Del. May 5, <br /> 2019). <br /> 14. Accordingly, the Debtors believe that EVA's retention on the terms and <br /> conditions proposed herein is appropriate. <br /> Notice <br /> 15. The Debtors are contemporaneously providing notice of this application to the <br /> entities on the Master Service List (as defined in the case management order in these chapter 11 <br /> cases (Docket No. 89) and available on the Debtors' case website at <br /> http://dm.epigl Lcom/Hopedale. The Debtors submit, in light of the nature of the relief <br /> requested, no other or further notice need be given. <br /> No Prior Request <br /> 16. No prior request for the relief sought in this application has been made to this or <br /> any other court. <br /> Motion Practice <br /> 17. This Application includes citations to the applicable rules and statutory <br /> authorities upon which the relief requested herein is predicated and a discussion of their relevance <br /> 12 <br />