Laserfiche WebLink
Case 1:20-bk-12043 Doc 109-1 Filed 07/27/20 Entered 07/27/20 15:11:53 Desc <br /> Exhibit A - Declaration of Douglas L. Lutz Page 7 of 16 <br /> Match List consist of representations in matters not related in any way to the Debtors or these <br /> Chapter 11 Cases. <br /> 13. All of the current and/or former clients of FBT who are included in the Client Match <br /> List, and for whom work was done in the calendar years 2019 or 2020, constituted less than one <br /> percent of FBT's revenues for such period. <br /> 14. Notwithstanding the foregoing, during the pendency of these Chapter 11 Cases, <br /> FBT cannot represent an entity adverse to the Debtors and cannot represent the Debtors against <br /> another client in these Chapter 11 Cases unless that client waives such conflict. FBT understands <br /> that the Debtors intend to seek retention of the law firm of Whiteford Taylor Preston, LLP as <br /> special counsel and conflicts counsel to handle those matters where FBT may have a conflict. <br /> 15. To the best of my knowledge, except as set forth in this declaration, neither FBT <br /> nor any attorney at FBT is or was, within two years before the Petition Date, a director, officer or <br /> employee of the Debtors, and/or a creditor,2 an equity security holder, or an insider of the Debtors. <br /> 16. To the best of my knowledge, FBT does not have an interest materially adverse to <br /> the interests of the estate or of any class of creditors or equity security holders, by reason of any <br /> direct or indirect relationship to, connection with or interest in the Debtors, except as disclosed <br /> herein, or for any other reason. <br /> 17. To the best of my knowledge, except as set forth below, FBT has no connections <br /> with the bankruptcy judges in the Southern District of Ohio. In addition, and to the best of my <br /> knowledge, FBT has no connections with the Cincinnati office of the United States Trustee for <br /> this Region. Finally, and to the best of my knowledge, FBT has no disqualifying connection with <br /> '-As of the Petition Date, the Debtors were indebted to FBT in the amount of approximately $60,625.74 on account <br /> of matters unrelated to preparation for the Debtors' Chapter 11 Cases. On the Petition Date, FBT agreed to waive <br /> these fees and FBT is not a creditor of the Debtor with respect to pre-Petition Date legal fees or expenses. <br /> 6 <br />