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Case 1:20-bk-12043 Doc 107 Filed 07/27/20 Entered 07/27/20 15:07:21 Desc Main <br /> Document Page 7 of 13 <br /> (i) The Engagement Personnel shall perform such other services as requested or <br /> directed by the Board of Directors or other Debtors' personnel as authorized by the Board <br /> of Directors, and agreed to by Cambio, that is not duplicative of work others are <br /> performing for the Debtors. <br /> 16. These services are necessary to enable the Debtors to maximize the value of their <br /> estates and successfully complete their restructuring. <br /> CAMBIO'S DISINTERESTEDNESS <br /> 17. To the best of the Debtors' knowledge, information, and belief, other than as set <br /> forth in the Fairfield Declaration, Cambio: (i) has no connection with the Debtors, their creditors, <br /> other parties in interest, or the attorneys or accountants of any of the foregoing, or the United <br /> States Trustee or any person employed in the Office of the United States Trustee; and (i) does <br /> not hold any interest adverse to the Debtors' estates. <br /> 18. Although the Debtors submit that the retention of Cambio is not governed by <br /> section 327 of the Bankruptcy Code, the Debtors attach the Fairfield Declaration, which <br /> discloses, among other things, any relationship that Cambio, Mr. Fairfield or any individual <br /> member of the Additional Personnel has with the Debtors, their significant creditors, or other <br /> significant parties in interest known to Cambio. Based upon the Fairfield Declaration, the <br /> Debtors submit that Cambio is a "disinterested person" as that term is defined by section 101(14) <br /> of the Bankruptcy Code. <br /> 19. In addition, as set forth in the Fairfield Declaration, if any new material facts or <br /> relationships are discovered or arise, Cambio will provide the Court with a supplemental <br /> declaration. <br /> 7 <br />