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Case 1:20-bk-12043 Doc 115 Filed 07/28/20 Entered 07/28/20 14:14:41 Desc Main <br /> 4 ' Document Page 7 of 8 <br /> this representation at their standard hourly rates. The list of attorneys and other professionals at <br /> WTP who are currently expected to assist in this representation, with the 2020 rates, is disclosed <br /> in the Roeschenthaler Declaration. The hourly rates are consistent with the rates charged in other <br /> bankruptcy and non-bankruptcy matters of this type and are subject to periodic adjustments to <br /> reflect economic and other conditions. WTP will charge the Debtors for services provided and <br /> seek reimbursement of expenses incurred in a manner consistent with the Bankruptcy Code, the <br /> Bankruptcy Rules and the United States Trustee Fee Guidelines. <br /> 18. Debtors submit that the engagement and retention of WTP as their special counsel <br /> in these Chapter 1 l Cases is necessary and in the best interests of the Debtors, their estates, their <br /> creditors, and other parties in interest and should be approved. <br /> MOTION PRACTICE <br /> 19. This Application includes citations to the applicable rules and statutory authorities <br /> upon which the relief requested herein is predicated and a discussion of their applicability to this <br /> Application. Accordingly, the Debtors submit that this Application satisfies Local Rule 9013- <br /> 1(a). <br /> NOTICE <br /> 20. 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 /> httm://dm.epiq I Lcom/Hopedale. The Debtors submit, in light of the nature of the relief requested, <br /> that no other or further notice need be given. <br /> NO PRIOR REQUEST <br /> 21. No prior application for the relief requested herein has been made to this Court or <br /> any other court. <br /> 7 <br />