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In re Mata

UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION
Oct 29, 2020
CASE NO: 16-33808 (Bankr. S.D. Tex. Oct. 29, 2020)

Opinion

CASE NO: 16-33808

10-29-2020

IN RE: ISABEL MATA; aka VILLARREAL Debtor


CHAPTER 7

MEMORANDUM OPINION

Cooper & Scully, P.C. filed an application seeking $42,028.39 in attorney's fees and expenses for work performed in Isabel Mata's chapter 7 case between April 16, 2018 and August 5, 2019. Ricardo and Sylvia Aguirre, Ms. Mata's brother and sister-in-law, objected to Cooper & Scully's application asserting Cooper & Scully billed excessively and unnecessarily. After considering Cooper & Scully's application and the Aguirres' objections in light of the requirements set forth in 11 U.S.C. § 330, the Court finds that Cooper & Scully is entitled to $38,177.07 in professional fees and $618.39 in expenses.

BACKGROUND

The debtor, Isabel Mata, filed this case in 2016. Ms. Mata's case has been burdened by familial strife, centering on a dispute over the ownership of the Ms. Mata's real estate. Trustee, Rodney Tow, retained Cooper & Scully as general counsel to the estate. With Cooper & Scully's assistance, the Trustee eventually sold the property and began disbursing the proceeds from its sale. Remaining in dispute, however, is the amount of compensation to which Cooper & Scully is entitled.

Isabel Mata's Bankruptcy

Ms. Mata, also known as Isabel Villareal, filed a voluntary chapter 13 petition on August 8, 2016. (ECF No. 1). Ms. Mata's chapter 13 bankruptcy resulted in a confirmed plan. (ECF No. 63). To fund the plan payments, Ms. Mata, through counsel, moved to sell real estate located at 3921 North Main Street, Houston, TX 77009. (ECF No. 55 at 1).

This property is a commercial building, which Ms. Mata used as her residence.

Ms. Mata's property was the subject of an adversary proceeding filed by Ms. Mata against Ricardo Aguirre, Ms. Mata's brother, Sylvia Aguirre, Ricardo's wife, and Mary Jones, Ms. Mata's sister. (Case No. 17-03054, ECF No. 1 at 2; see also ECF No. 49 at 2). Through this adversary proceeding, Ms. Mata sought to quiet title to the real estate. (ECF No. 49 at 1). According to Ms. Mata, she owned the property in fee simple by way of a handwritten instrument executed by Ms. Mata's deceased parents, which purported to convey Ms. Mata title to the property located at 3921 North Main. (ECF No. 49 at 3). On December 1, 2017, this Court found that the document executed by Ms. Mata's parents was not a warranty deed. (ECF No. 76 at 7). Therefore, the document did not effect a present or future transfer of the property to Ms. Mata in fee simple. (ECF No. 76 at 7).

Because no transfer was effected by the instrument, the Court determined that Ms. Mata, along with her siblings, retained interests in the property pursuant to Texas intestacy law. (ECF No. 76 at 7). The Court did not, however, determine the amount of ownership held by each sibling. (ECF No. 76 at 7). Instead, the parties were directed to come to an agreement as to each sibling's proportional interest. (ECF No. 76 at 7).

On January 22, 2018, following the issuance of the Court's judgment, the case was converted to a chapter 7 case. (ECF No. 81 at 1). Rodney Tow was appointed as Trustee. (ECF No. 83). The Court then entered a discharge order and found that there were no non-exempt assets in the estate. (ECF No. 94; see also ECF No. 82 at 2).

Employment of Cooper & Scully , P.C.

On April 17, 2018, the Trustee filed an application to employ Cooper & Scully, P.C. as general counsel to the estate. (ECF No. 91 at 3). Specifically, the Trustee sought to employ Julie Koenig. (ECF No. 91 at 4). Ms. Koenig has over 30 years of bankruptcy experience, including significant experience representing chapter 7 trustees. (ECF No. 91 at 4-5). Additionally, Cooper & Scully's application proposed a billable rate of $425 per hour for attorney services and a billable rate of $100 per hour for paralegal services. (ECF No. 91 at 7). Those services were to include: "Fil[ing] motions to sell . . . Fil[ing] motions to compromise controversies . . . and Handl[ing] miscellaneous legal matters associated with the estate." (ECF No. 91 at 7). Any expenses arising from Cooper & Scully's employment were to be charged to the estate. (ECF No. 91 at 7).

The Court granted the Trustee's application to employ Cooper & Scully on May 3, 2018. (ECF No. 96). However, on May 4, 2018, Ricardo and Sylvia Aguirre filed a joint motion opposing the employment of Cooper & Scully. (See ECF No. 99). Then, on May 10, 2020, the Aguirres filed a motion asking this Court to reconsider its order authorizing the employment of Cooper & Scully. (See ECF No. 101). The Court held a hearing on the employment application on June 26, 2018. During the hearing, the Court noted that it would not require the Trustee to intervene in a familial dispute without counsel and by employing Cooper & Scully the Trustee was fulfilling his fiduciary obligation to the estate. (6/28/2018 Hearing at 11:10:10). The Court denied the Aguirre's motion for reconsideration. (Case No. 16-33808, 6/26/2018, Courtroom Minutes).

Disputes Related to the Sale of Debtor's Property

The vast majority of Cooper & Scully's work in this case relates to the sale of Ms. Mata's real property. As noted above, the Court first ordered the property sold on the Ms. Mata's own motion prior to the conversion of the case. (See ECF No. 64). The Court again ordered the property sold when the case was converted to chapter 7. (ECF No. 81 at 1). On October 3, 2018, the Trustee, through Cooper & Scully, filed a motion to sell the property, free and clear of encumbrances, to a buyer from which the Trustee received a good faith offer. (ECF No. 104 at 1-3). The motion also sought authorization to use the sale proceeds to pay closing costs and fees, pay pro-rata taxes due in 2018, and satisfy the outstanding secured claims of taxing authorities. (ECF No. 104 at 4). Any remaining proceeds were to be distributed consistent with a separate court order setting out the ownership interests held by each of Ms. Mata's siblings. (ECF No. 104 at 4). The Court issued a final order authorizing the sale of the property under § 363(b), (f), (h). (ECF No. 107 at 1-2).

Subsequently, the Trustee filed a motion requesting clarification of the Court's conversion order, which directed the Trustee to distribute the proceeds in accordance with the interests set out in Docket Entry No. 34, pp. 5 in Adversary Case 17-03054. (ECF No. 90 at 1-2). Prior to resolving the Trustee's motion for clarification, the Court appointed Cooper & Scully.

A. Incessant Disputes Over the Division of Proceeds

This order provoked responses from Raquel Villarreal Winn, Ms. Mata's daughter, from Olivia Reiner, Ms. Mata's sister, and from Ms. Mata herself. (See ECF Nos. 105, 109, 110, 114). Essentially, these responses alleged that the Court erred in its determination of how the proceeds from the sale of the property were to be distributed. (See ECF Nos. 109, 110, 114). The Court set a hearing on January 8, 2019 to consider these responses. (ECF No. 112 at 1).

ECF No. 81 at 1; see also Case No. 17-03054, ECF No. 34 at 5.

At the hearing, Ms. Mata, members of her family, and the Trustee, personally and through counsel, presented arguments as to how the sale proceeds should be divided. (See generally Hearing 1/08/2019 at 3:30). The Court made findings as to the proper division on the record, which were memorialized in a written judgment. (See ECF No. 119).

After the hearing, Ms. Mata and her family again filed various motions attempting to relitigate both the judgment finding that Ms. Mata did not own the property outright, (See ECF Nos. 122, 123, 127), as well as the judgment determining the proportional ownership of each member of the family. (See ECF Nos. 123, 125, 127, 154, 164). And again, the Court ruled on the motions challenging its judgments. (See ECF Nos. 124, 131, 162; see also Case No. 17-03054, ECF No. 69 at 1).

Notably, the Court disposed of one of Ms. Mata's motions for reconsideration by noting that Ms. Mata appealed the Court's judgment. (ECF No. 131). Ms. Mata instituted her appeal on January 15, 2019. (Case No. 17-03054, ECF No. 46 at 1). The appeal was subsequently dismissed for failure to file an appellate brief and failure to designate items in the record for appeal. (Case No. 17-03054, ECF No. 66 at 1).

B. Costly and Wasteful Litigation Impeding the Closing of the Sale

While the Court worked through the disputes over the ownership of the property and the distribution of the proceeds from its impending sale, another family conflict broke out over the sale of the home. Ms. Mata and those family members holding interests in the property were required to sign various documents prior to the closing of the sale. (ECF No. 133 at 2-3). Additionally, the title company handling the closing required an underlying state court lawsuit to be dismissed before closing could occur. (ECF No. 133 at 2). The Trustee informed Mr. and Mrs. Aguirre of the need for their signatures on the closing documents and an agreed order dismissing the state court suit. (ECF No. 133 at 3). The Aguirres refused to sign the necessary documents. (ECF No. 133 at 3). The Trustee warned the Aguirres that their refusal would force the Trustee to file a motion to compel the Aguirres to sign the documents. (ECF No. 133 at 3). The Aguirres persisted in their refusal and the Trustee filed a motion to compel. (See ECF No. 133). On February 26, 2019, the Could entered an order directing the non-signing family members, including the Aguirres, to sign all closing documents prepared by the Trustee and directing the parties to dismiss the state court suit. (ECF No. 136 at 1).

This state court action was filed by the Aguirres against Ms. Mata, Ms. Reiner, and Ms. Jones. (ECF No. 138-1 at 1). Essentially, the suit was an action to quiet title to the property. (ECF No. 138-1 at 1-3). In its Order, the Court required all claims pertaining to ownership of the property be dismissed but did not require the dismissal of the Aguirres' claims for costs and attorneys' fees. (ECF No. 136 at 1).

The sale process was also impeded by Ms. Mata's refusal to vacate the property, thereby preventing the Trustee from securing the property in advance of the closing. (ECF. No. 139 at 2-3). Ms. Mata's actions forced the Trustee to file a motion to compel Ms. Mata to vacate the property. (ECF No. 139 1-3). The Court granted the Trustee's motion and ordered Ms. Mata to vacate the property. (ECF No. 140 at 1).

Ms. Mata failed to vacate the property. (ECF No. 142 at 2). The Trustee again moved to compel Ms. Mata to vacate the property and sought an order holding Ms. Mata in contempt for violating the Court's prior order. (ECF No. 142 at 1). The Court held a hearing on the Trustee's motion, at which Ms. Mata appeared with counsel. (ECF No. 144 at 1; see also 3/18/2019 Hearing at 4:37:30). At the hearing, the Court again ordered Ms. Mata to vacate the property within one week's time and advised Ms. Mata that failing to do so would require the Court to direct the United States Marshal Service to remove her from the property. (3/18/2019 Hearing at 4:56:54).

Still, the Trustee was unable to close on the sale due to the Aguirres' continued refusal to sign the closing documents. On April 11, 2019, the Trustee filed a second motion to compel the Aguirres to sign. (ECF No. 151 at 3-7). Again, the Court set a hearing on the Trustee's motion and ordered all non-signing parties to appear. (ECF No. 152 at 1-2). At this hearing, Mr. and Mrs. Aguirre were ordered to sign the closing documents in open court. (4/23/2019 Hearing at 9:04:50; 9:19:55). They complied.

On April 23, 2019, the same day the Court ordered the Aguirres to execute the closing documents, Olivia Reiner filed an action in Texas state court against Ms. Mata seeking 35% of the sale proceeds. (Case No. 19-03446, ECF No. 1-1 at 1-4). The Trustee removed the action to this Court pursuant to 28 U.S.C. §§ 1334(b) and 1452(a). (Case No. 19-03446, ECF No. 1 at 1-3). After a hearing, at which the Court informed Ms. Reiner that her action was likely a violation of Ms. Mata's discharge injunction, the Court dismissed the adversary proceeding. (6/11/2019 Hearing at 3:02:00; see also Case No. 19-03446, ECF No. 5 at 1).

Despite its swift dismissal, Ms. Reiner's state court action further delayed the sale process. (ECF No. 157 at 3). Specifically, the title company required an amended court order authorizing the sale notwithstanding Ms. Reiner's suit. (ECF No. 157 at 4). Per the title company's request, the Court issued an amended order. (ECF No. 158 at 1-2). And finally, on May 10, 2019, the sale of the property closed. (ECF No. 163-1 at 1).

The title company also requested that the amended order include authorization for the Trustee's Counsel to execute any amended settlement statements on behalf of the Aguirres and Ms. Reiner, as well as a directive to the Trustee to hold all proceeds, less closing costs and other payments made on account of encumbrances on the property. (ECF No. 157 at 4).

C. Obstructive Disputes Related to the Distribution of Sale Proceeds

The Trustee then sought to distribute the proceeds from the sale, primarily to provide Ms. Mata with the means to live. (ECF No. 168 at 2). Inevitably, another dispute ensued. (See generally 7/11/2019 Hearing at 3:00). Again, the family members disagreed as to how the proceeds should be divided between the siblings. (7/11/2019 Hearing at 3:11:15). Mr. Aguirre asserted that the Trustee should not make an interim distribution. (7/11/2019 Hearing at 3:11:15). Raquel Winn asserted that the Aguirres were not entitled to any portion of the proceeds at all. (7/11/2019 Hearing at 3:17:32). Nevertheless, the Court granted the Trustee's motion authorizing an interim distribution of funds. (7/11/2019 Hearing at 3:26:00; see also ECF No. 170 at 1).

Cooper & Scully's Fee Application

With the foregoing disputes resolved, Cooper & Scully filed its final fee application. (ECF No. 174 at 2). In total, Cooper & Scully seeks $41,410.00 in fees and $618.39 in expenses. (ECF No. 174 at 1). The application details the work performed by Cooper & Scully, including: (1) work related to the sale of the property; (2) work related to the distribution of the sale proceeds; (3) determining the amount of back taxes encumbering the property; (4) preparation and prosecution of the Trustee's motions to compel; (5) work undertaken to resolve the state court litigation impeding the sale; (6) work undertaken to resolve judgment liens impeding the sale; (7) attempts to persuade Ms. Mata to vacate the property; (8) removal of Ms. Reiner's state court action; and (9) preparation of documents required for closing on the sale. (ECF No. 174 at 2-4). This work required Cooper & Scully to expend 107.30 hours. (ECF No. 174 at 4).

In response to Cooper & Scully's application, the Aguirres filed a "Motion to Adjust Attorneys' Fees." (ECF No. 179 at 1). In their motion, the Aguirres assert that Ms. Koenig: (1) billed for work not necessary to the administration of the estate; (2) billed excessively for work that others, specifically the realtor and the title company, should have performed; and (3) billed for work that did not result in a benefit to the Aguirres or Mary Jones. (ECF No. 179 at 2-4). Thus, the Aguirres seek a reduction in Cooper & Scully's fees. (ECF No. 179 at 4).

Additionally, the Aguirres asserted that the Trustee erroneously paid a dormant judgment lien, for which the Aguirres are due reimbursement. (ECF No. 179 at 2-4).

The Court held a hearing to resolve the dispute. At the hearing, Ms. Koenig testified that much of her work focused on the Trustee's efforts to sell the property. (11/5/2019 Hearing at 1:40:45-2:00:50). Ms. Koenig also detailed the process by which she attributed fees to the actions of various members of Ms. Mata's family. (11/5/2019 Hearing at 2:18:00). In opposition, Mr. Aguirre attempted to undermine the reasonableness and necessity of Ms. Koenig's fees. (11/5/2019 Hearing at 2:24:30-2:35:00). At the conclusion of the hearing, the Court directed the Aguirres to file supplemental briefing clarifying their objections and authorized Cooper & Scully to file a response. (11/5/2019 Hearing at 2:48:00).

Specifically, Ms. Koenig detailed how she aided the Trustee's efforts: (1) to resolve the disputes between the members of Ms. Mata's family over the division of sale proceeds, (11/5/2019 Hearing at 1:41:10); (2) to effectuate the closing of the sale of the property, which required Ms. Koenig to prepare multiple motions to compel and motions seeking civil contempt findings, (11/5/2019 Hearing at 1:41:10); (3) to list the property for sale, which included revising documents related to the sale, (11/5/2019 Hearing at 1:42:30, 1:45:55); and (4) to release encumbrances on the property. (11/5/2019 Hearing at 1:55:00).

Mr. Aguirre also tried to establish that the Trustee should not have paid an allegedly dormant judgment lien encumbering the property. (11/5/2019 Hearing at 2:35:00). The Court noted that the erroneous payment of the judgment likely had no bearing on whether Cooper & Scully were entitled to the compensation requested. (11/5/2019 Hearing at 2:48:00).

The Aguirres filed an "Amended Motion to Adjust Attorneys' Fees." (See ECF No. 183). Largely, the Aguirres' amended motion reiterated the objections to Cooper & Scully's fee application set out in their original motion. (ECF No. 183 at 1-5). In response, Cooper & Scully clarified why it expended time on the tasks complained of by the Aguirres. (ECF No. 184 at 1-6). However, Cooper & Scully conceded that a billing entry on account of a transcript order was erroneously included because it was never actually ordered. (ECF No. 184 at 5-6). Additionally, Cooper & Scully's response attempted to justify the allocation of legal fees between the members of Ms. Mata's family. (ECF No. 184 at 7-9).

Cooper & Scully justified the allocation by asserting it would be unfair to force all members of Ms. Mata's family to shoulder costs incurred on account of the actions of only some family members. (ECF No. 184 at 8).

After the parties' submitted their supplemental briefing, the Court took the matter under advisement. This Memorandum Opinion resolves the dispute.

JURISDICTION

The District Court has jurisdiction over this proceeding under 28 U.S.C § 1334(a). This is a core proceeding under 28 U.S.C. § 157(b)(2)(A), (B), (C), and (O). Pursuant to 28 U.S.C. § 157(a), this proceeding has been referred to the Bankruptcy Court by General Order 2012-6.

DISCUSSION

Cooper & Scully seeks professional fees pursuant to § 330(a). Ricardo and Silvia Aguirre challenged this request, asserting Cooper & Scully billed for work unnecessarily undertaken and excessively carried out. Independent of the Aguirres' challenge, the Court has a duty to examine Cooper & Scully's request. In re King, 546 B.R. 682, 701 (Bankr. S.D. Tex. 2016). Cooper & Scully's high fees are largely the result of the unnecessarily litigious family dispute, which dominated this case. An examination of Cooper & Scully's billing entries reveals a failure to exercise "billing judgment" in requesting a small portion of the fees. A reduction in the compensation requested is appropriate. Set out below are the reasons the Court finds that Cooper & Scully is entitled $38,795.46 in fees and expenses.

Lodestar Method

The lodestar amount is the starting point for determining the reasonable and necessary fees to which a professional employed under § 327 is entitled. In re Pilgrim's Pride Corp., 690 F.3d 650, 656 (5th Cir. 2012); In re Cahill, 428 F.3d 536, 539 (5th Cir. 2005). The appropriate lodestar amount is calculated by multiplying the number of hours an attorney would reasonably spend on similar work by the prevailing hourly rate in the community for that type of work. Cahill, 428 F.3d at 539; see In re Lopez, 576 B.R. 84, 92 (Bankr. S.D. Tex. 2017) (citing In re Rodriguez, 517 B.R. 724, 730 (Bankr. S.D. Tex. 2014)). Section 330(a)(3) affords the Court discretion to adjust the rate charged and the number of hours billed. 11 U.S.C. § 330(a)(3)(A)-(B).

Under § 330(a)(1), an attorney may be compensated for actual and necessary services rendered, including services performed by paraprofessionals employed by the attorney. 11 U.S.C. § 330(a)(1)(A). Section 330(a)(3) provides the following six factors, which the Court must consider when determining the reasonable amount compensation due:

(A) the time spent on such services;

(B) the rates charged for such services;
(C) whether the services were necessary to the administration of, or beneficial at the time at which the service was rendered toward the completion of, a case under this title;

(D) whether the services performed within a reasonable amount of time commensurate with the complexity, importance, and nature of the problem, issue, or task addressed;

(E) with respect to a professional person, whether the person is board certified or otherwise has demonstrated skill and experience in the bankruptcy field; and

(F) whether the compensation is reasonable based on the customary compensation charged by comparably skilled practitioners in cases other than cases under this title.
11 U.S.C. § 330(a)(3). The use of the word "including" in § 330(a)(3) indicates the list is non-exhaustive. In re Chapter 13 Fee Applications, 2006 WL 2850115 at *2; see Pilgrim's Pride, 690 F.3d at 656. "Indeed, § 330(a)(3) mandates consideration of all relevant factors." Chapter 13 Fee Applications, 2006 WL 2850115 at * 2 (emphasis in original). Other relevant factors the Court may consider are the twelve Johnson factors. Id.; see also Pilgrim's Pride, 690 F.3d at 656. The Johnson factors are:
(1) The time and labor required; (2) The novelty and difficulty of the questions; (3) The skill requisite to perform the legal service properly; (4) The preclusion of other employment by the attorney due to acceptance of the case; (5) The customary fee; (6) Whether the fee is fixed or contingent; (7) Time limitations imposed by the client or other circumstances; (8) The amount involved and the results obtained; (9) The experience, reputation, and ability of the attorneys; (10) The "undesirability" of the case; (11) The nature and length of the professional relationship with the client; and (12) Awards in similar cases.
Johnson v. Ga. Highway Express, Inc., 488 F.2d 714, 717-19 (5th Cir. 1974).

Under § 330(a)(3), bankruptcy courts are granted "considerable discretion" in adjusting the lodestar amount up or down. Cahill, 428 F.3d at 540. This discretion authorizes the Court, "upon motion or sua sponte, to award a compensation that is less than the amount requested." Id. at 539. At the same time, this discretion must be exercised within the confines of the factors enumerated in § 330(a)(3) and Johnson. Pilgrim's Pride, 690 F.3d at 656; Lopez, 576 B.R. at 94. And bankruptcy courts must describe the weight accorded to each factor and how each factor affects the award adjustment. Cahill, 428 F.3d at 540 (internal citations omitted).

Despite the discretion imbued on courts to adjust the lodestar, the lodestar amount is presumed to represent the reasonable amount of compensation due for professional services. In re Garza, No. 16-70444, 2020 WL 718444, at *5 (Bankr. S.D. Tex. Feb. 12, 2020) (citing Perdue v. Kenny A. ex rel. Winn, 559 U.S. 542, 552 (2010)). The party seeking compensation bears the burden of demonstrating the reasonableness of the request. Louisiana Power & Light Co. v. Kellstrom, 50 F.3d 319, 324 (5th Cir. 1995) (citing Hensley v. Eckerhart, 461 U.S. 424, 437 (1983)). To satisfy its burden, the applicant must produce documentation—normally contemporaneous billing records—which justifies an award of the amount request. Id.

Cooper & Scully seeks $41,410.00 in professional fees for its representation of the Chapter 7 Trustee, Rodney Tow. The following table provides a breakdown of the hours and rates charged by Cooper & Scully:

Attorney/Paralegal

Rate per Hour

Total Hours Billed

Koenig, Julia

$425.00

94.4

Garcia, Charlene

$100.00

12.9

Total Compensation for Services Requested:

$41,410.00

In calculating the lodestar amount, the Court must begin by assessing whether the rates charged and the hours expended are reasonable.

A. Reasonableness of the Hourly Rate

The reasonable hourly rate for professional services is "calculated according to the prevailing market rates in the relevant community." Rodriguez, 517 B.R. at 731 (citing McClain v. Lufkin Indus., Inc., 649 F.3d 374, 381 (5th Cir.2011)). Generally, the Court looks to the hourly rates determined to be reasonable in similar cases. In re Cole, No. 18-35182, 2020 WL 4577236, at *10 (Bankr. S.D. Tex. July 20, 2020) (citing In re Ahmadi, No. 17-34134, 2018 WL 6523094, at *4 (Bankr. S.D. Tex. Dec. 10, 2018)).

Cooper & Scully's application provides rates for both paralegal and attorney services. Ms. Garcia, a paralegal, billed at a rate of $100 per hour, which is equivalent to reasonable rates charged by paraprofessionals in other cases. See, e.g., id. (approving hourly rates between $100 and $150 for paraprofessional services). Ms. Koenig too charged a reasonable rate. In her uncontroverted testimony, Ms. Koenig established that her hourly rate of $425 per hour was on the "low end" of the spectrum for work in similar cases. (November 5, 2019 Hearing at 1:38:30 PM). Additionally, at this Court's November 5 hearing, Ms. Koenig established her extensive experience representing bankruptcy trustees. (November 5, 2019 Hearing at 1:38:30 PM). Moreover, similar hourly rates have been found to be appropriate in chapter 7 cases. In re Ritchey, 512 B.R. 847, 869 (Bankr. S.D. Tex. 2014) (accepting as reasonable an hourly rate of $450 per hour). Therefore, the Court finds that the hourly rates billed by Cooper & Scully for professional services are reasonable.

B. Reasonableness of Hours Expended

Section 330(a)(3) authorizes compensation only for those hours reasonably expended. Cahill, 428 F.3d at 539. Determining whether the number of hours expended is reasonable requires the Court to assess an applicant's "billing judgment." Cole, 2020 WL 4577236, at *10. The applicant bears the burden of demonstrating billing judgment. Saizan v. Delta Concrete Prod. Co., 448 F.3d 795, 799 (5th Cir. 2006) (citing Walker v. City of Mesquite, TX, 313 F.3d 246, 251 (5th Cir. 2002)). To that end, billing judgment is demonstrated by evidence showing that the hours charged were reasonable and that "unproductive, excessive, or redundant" hours were "written off." Id. A failure to exercise billing judgment is remedied by reducing the fee award by a "percentage intended to substitute" appropriate billing judgment. In re Golden State Holdings, Inc., No. 14-36650, 2018 WL 6584900, at *6 (Bankr. S.D. Tex. Dec. 12, 2018) (citing Alto-Shaam, Inc. v. Manitowoc Co., No. 7:09-CV-018-O, 2012 WL 12978015, at *4 (N.D. Tex. Feb. 2, 2012)).

"Billing judgment" is a term of art, which refers to an applicant's use of discretion in differentiating between work for which compensation is allowed and non-compensable work, which must be written off. See Alberti v. Klevenhagen, 896 F.2d 927, 930 (5th Cir. 1990), opinion vacated in part on reh'g, 903 F.2d 352 (5th Cir. 1990) (describing "billing judgment"). The Court utilizes the term as a term of art and not as a critique of counsel's general judgment.

This case demanded more time than a typical chapter 7 case. The increased demand is attributable to the familial dispute over the ownership of Ms. Mata's property and the significant resistance the Trustee met in attempting to sell that property. However, Cooper & Scully's billing records show several instances in which appropriate billing judgment was not exercised. A reduction in fees is appropriate.

1. Duplicative, Excessive, and Inadequately Documented Entries

Fees for "duplicative, excessive, or inadequately documented work" may be reduced or disallowed. Cole, 2020 WL 4577236, at *10. Work is excessive when, compared to similar work, the amount billed for the work is inexplicably high. See In re 1002 Gemini Interests LLC, No. 11-38815, 2015 WL 913542, at *10 (Bankr. S.D. Tex. Feb. 27, 2015) (finding work to be excessive where fewer hours were billed for similar tasks previously undertaken). Billing for certain "secretarial" tasks is also excessive. See In re Contreras, No. 16-34693, 2019 WL 1868622, at *3 (Bankr. S.D. Tex. Apr. 25, 2019) ("Just because . . . paralegals [are] performing secretarial work does not make that work compensable."); see also Alto-Shaam, Inc., 2012 WL 12978015, at *7 (reducing fees for excessively billed clerical tasks by 5% and by 10% where no evidence of billing judgment was presented). Inadequately documented work includes time entries that are lumped together, "block-billed," or vague, thereby preventing the Court from determining whether the services described are compensable, much less reasonable. Lopez, 576 B.R. at 102 (citing In re Digerati Tech., Inc., 537 B.R. 317, 333 (Bankr. S.D. Tex. 2015)); see also Gurule, 2017 WL 67671821, at *4. The Court can exercise broad discretion in disallowing fees on account of vaguely or inadequately described work. Saizan v. Delta Concrete Prod. Co., 448 F.3d 795, 799 (5th Cir. 2006); Cahill, 428 F.3d at 541-42.

"'[B]lock billing' refers to the time-keeping method by which each lawyer and legal assistant enters total daily time spent working on a case, rather than itemizing the time expended on specific tasks." Gurule v. Land Guardian, Inc., No. 4:15-CV-03487, 2017 WL 67671821, at *4 (S.D. Tex Oct. 24, 2017).

Cooper & Scully's billing records include some entries that indicate Ms. Koenig billed for tasks excessively, some entries indicate that Ms. Koenig and Ms. Garcia billed for clerical work at their full billable rates, other entries do not provide enough detail to allow their reasonableness to be evaluated. See Lopez, 576 B.R. at 101-02. The following tables provide a sample of entries that are either so excessive or so vague that the Court cannot assess their reasonableness.

Date

Timekeeper

Description

Hours

Rate

Total AmountBilled

4/11/2019

Koenig, Julie

Draft Second Emergency Motion toCompel and Order (2.1); identify,mark, highlight and prepare allexhibits for filing (1.8); email Ginniefor an updated Settlement Statement(0.1); review the statement - still hasMary Jones judgments - email Ginnieto remove them (0.2); review andmark revised Settlement Statement(0.1); prepare and file all documents(0.3); print filed documents (0.2);scanned and emailed to Ms. Do,Ricardo, Sylvia and Bert (0.2)

5.00

$425.00

$2,125.00

The above billing entry from April 11 is a demonstrative instance of excessive billing. As noted in the entry, Ms. Koenig spent 2.1 hours drafting a second motion to compel and then spent 1.8 preparing exhibits to attach to that motion. After this preparation, Ms. Koenig continued to prepare the documents for filing for 0.3 hours. And then Ms. Koenig spent 0.4 hours printing, scanning, and emailing the filed documents. In total $2,125.00 was billed on account of the second motion to compel. However, a review of the docket reveals that the second motion is essentially the first motion to compel, (see ECF No. 133), with four additional pages of facts and no legal authority. (see ECF No. 151). The eight exhibits to the motion include emails Ms. Koenig either sent or received, as well as documents that were in Ms. Koenig's custody at the time the motion was drafted. (See ECF Nos. 155-1-155-8). Billing almost four hours preparing a simple motion, which required no legal research or analysis, is excessive. The remainder of the time billed in this entry could be fairly characterized as clerical work.

A 25% reduction to excessive billing entries is an appropriate remedy. See, e.g., Cole, 2020 WL 4577236, at *13 (reducing excessive billing entries by 25%); see also Walker v. U.S. Dep't of Hous. & Urban Dev., 99 F.3d 761, 770 (5th Cir. 1996) (reducing a fee award where no evidence of billing judgment was exercised). While Cooper & Scully should be compensated for work reasonably and efficiently undertaken, the Court should not approve these fees. These entries are reduced by 25%, equivalent to a $828.75 reduction in fees. (See Appendix, entries 73-74, 118).

The billing entries related to other unsophisticated motions and pleadings are set out in Appendix A. (See Appendix A, entries 73-74, 118). Entries 73 and 74 appear to be duplicative, with entry 74 describing essentially the same task undertaken in 73 but requiring twice the time.

Cooper & Scully also requests fees for purely clerical work. Alto-Shaam, Inc., 2012 WL 12978015, at *7. Generally, attorneys' fees for clerical tasks are not recoverable. Symetra, 2015 WL 6739022, at *8 (citing Abrams v. Baylor Coll. of Med., 805 F.2d 528, 535 (5th Cir.1986)). When billing is appropriate, clerical tasks must be billed at a lower billing rate. Meadows v. Latshaw Drilling Co., LLC, No. 3:15-CV-1173-N, 2020 WL 291582, at *4 (N.D. Tex. Jan. 21, 2020) (Champion v. ADT Sec. Servs., Inc., 2010 WL 4736908, at *6 (E.D. Tex. Nov. 16, 2010)).

Cooper & Scully seeks fees for numerous clerical tasks, examples of which are contained in the table below. The court disallows $1,577.50 in clerical billing, which is just over 3% of the total amount requested. See Alto-Shaam, Inc., 2012 WL 12978015, at *7 (reducing the total fees requested by 5% on account of improperly billed clerical work); see also Meadows, 2020 WL 291582, at *4 (reducing the total fees requested by 3% on account of improperly billed clerical work).

The remaining entries containing non-compensable clerical tasks are set out in Appendix A. (See Appendix A, entries 4-5, 8, 19, 21-22, 26, 46, 68, 71, 79, 82, 93, 95-96, 102, 109, 133, 143-44, 146, 149, 155, 158-59, 161, 164-65, 168, 177, 179, 184).

Date

Timekeeper

Description

Hours

Rate

Total AmountBilled

4/17/2018

Koenig, Julie

Scan, rename and send ListingAgreement to Brad.

0.20

$425.00

$85.00

10/29/2018

Koenig, Julie

Save Order Authorizing Sale;send to Ginnie

0.10

$425.00

$42.50

2/25/2019

Koenig, Julie

Draft Motion and Order toCompel and for Sanctions (1.2);prepare and file with the Court(0.2); save and email copies toRicardo, Sylvia, Brent andRaquel

1.50

$425.00

$637.50

3/13/2019

Garcia,Charlene

Mailed demand letter requestingdeeds with self addressedenvelope

0.20

$100.00

$20.00

3/18/2019

Garcia,Charlene

Sent reminder to Julie of today'shearing

0.10

$100.00

$10.00

Cooper & Scully's fee award must be further reduced because certain billing entries contain "block-billed" time. "Block-billed" time entries prevent the Court from parsing fees that are reasonable and necessary from fees that are not. Lopez, 576 B.R. at 102. Below is a table containing time entries that exemplify "block-billing:"

The remaining "block-billed" entries are identified in Appendix A. (See Appendix A, entries 9, 23, 25, 43, 47,50, 58, 59, 75-77, 83-84, 88, 97, 120, 126, 147, 150, 163, 174)

Date

Timekeeper

Description

Hours

Rate

Total AmountBilled

1/16/2019

Koenig, Julie

Research underlying state courtlitigation; review pleadings andexhibits - Olivia never challengedthe deed and the summary judgmenthas a certified copy attached; printedrelevant documents and sent certifieddeed to Brent - all in preparation fortoday's hearing

1.00

$425.00

$425.00

4/17/2019

Koenig, Julie

Scan highlighted Title CompanyDisclosures to myself and Charlene;go through the documents withCharlene so she can meet with Ms.Jones to get everything signed andnotarized; email highlightedDisclosures to Bert Reiner withinstructions on what his parents needto fill out and request for original byMonday, 4/22/19; email highlightedDisclosures to Mr & Mrs. Aguirrewith same instructions

0.50

$425.00

$212.50

Cooper & Scully's January 16, 2019 entry contains three separate tasks and notes that 1 hour was expended on those tasks. However, the discrete amount of time spent on each task is not included in the entry. As such, the Court cannot assess the reasonableness of the time expended. In re 900 Corp., 327 B.R. 585, 598 (Bankr. N.D. Tex. 2005). Similarly, the April 14, 2019 entry lumps four tasks together without specifying the amount of time spent on each individual task. Troublingly, this entry, and others contained in Cooper & Scully's application, include clerical tasks in the description (i.e., scanning documents), but do not indicate whether that time was "written-off." Without knowledge of how much time was billed on account of each task described in the entries or whether such time was "written-off," the Court is unable to assess the reasonableness of these requests. Id.

Billing entries that do not detail their reasonableness or necessity may be reduced by an amount determined by the Court to be appropriate. Lopez, 576 B.R. at 102; see also Symetra, 2015 WL 6739022, at *7 (noting that both a 10% reduction and a 40% reduction in block-billed time were appropriate reductions based on the egregiousness of the block-billing in each instance). A reduction in fees is appropriate due to the lack of specificity in these entries and the Court's inability to discern their reasonableness or necessity. Id. While the amount of "block-billed" entries is not egregious, Cooper & Scully made no effort to demonstrate it wrote-off non-compensable hours contained in the "block-billed" entries. See Saizan, 448 F.3d at 799. A 15% reduction of "block-billed" entries is appropriate. See Symetra, 2015 WL 6739022, at *8 (finding that courts have reasonably reduced fees by 15% for a failure to exercise billing judgment).

Contra Lopez, 576 B.R. at 101-02 (reducing 162.98 "block-billed" hours by 20%).

Finally, Cooper & Scully concedes that the entry below was unnecessarily billed. (Appendix A, entry 87). As such, it is disallowed.

Date

Timekeeper

Description

Hours

Rate

TotalAmountBilled

ReasonReduced

3/13/2019

Koenig, Julie

Review Docket Sheet fordate of hearing; (0.1); pulltranscript form from CourtWebsite and complete toorder a transcript of the1/8/19 hearing; (0.5); pullcopy of transcribers fromCourt website

0.70

$425.00

$297.50

Unnecessary

Accordingly, Cooper & Scully requested compensation is reduced by $3,232.93 due to excessive billing, improperly billed clerical work, "block-billed" entries, and unnecessarily billed work.

2. Remaining Billing Entries

From its outset, Ms. Mata's bankruptcy has been a tumultuous process, plagued by persistent familial infighting. The infighting concerned the ownership of the property Ms. Mata used as her home, the sale of the property, the sale's closing, and the distribution of its proceeds. The Court is cognizant of the fact that Ms. Mata and her family were attempting to protect their rights by pushing back against the actions of the Trustee, the Court, and each other. However, the Court also recognizes that their resistance created more work for the Trustee and Cooper & Scully. Ms. Mata and her family were advised at the outset of Cooper & Scully's employment that their fights could lead to additional fees. Cooper & Scully reasonably expended the hours not otherwise subject to reduction or disallowance.

Ms. Koenig's testimony in support of the fee application detailed how the family's actions increased Cooper & Scully's workload beyond the Trustee's initial estimate. (11/5/2019 Hearing at 1:40:45-2:00:50).

Cooper & Scully's reasonable efforts include: (1) finalizing the sale of Ms. Mata's home and the distribution of sale proceeds; (2) time spent securing the property for sale and obtaining the signatures necessary to the close the sale; (3) Ms. Koenig's, and on occasion Ms. Garcia's, attendance at hearings set by the Court; (4) attempting to resolve issues raised by the two state court lawsuits, which impeded the sale of Ms. Mata's home; (5) aiding the Trustee's efforts to distribute the proceeds of the sale on an interim basis; and (6) preparation of the its fee application. 11 U.S.C. § 330(a)(6).

See Appendix A, entries 1-3, 5-7, 9-20, 23-25, 27-45, 47-62, 71-72, 75-78, 85, 89-91, 97, 105-17, 119-32, 134, 136-37, 141, 145, 151-54, 156, 160, 164, 166, 173-75, 178.

See Appendix A, entries 60-67, 69-70, 72, 81-84, 92-94, 100-01, 103-04, 118-19, 126, 135-36.

See Appendix A, entries 15, 45, 101, 136, 145, 176, 182.

See Appendix A, entries 50, 57, 73-78, 80, 85, 87-88, 138-42, 147-50, 157, 163, 176.

See Appendix A, entries 166, 173-75, 178, 180-83.

See Appendix A, entries 167-70, 172-75, 185. --------

Therefore, the lodestar amount is $38,177.07

C. Additional Lodestar Adjustment

The Court finds an adjustment to the lodestar amount is not appropriate. Cooper & Scully did not request an upward lodestar adjustment in its application. (ECF No. 174 at 4-5). Likewise, the Aguirres do not seek a downward lodestar adjustment. Instead, the Aguirres asserted that certain billing entries were unnecessary or excessive. The foregoing discussion considered all of the Aguirres' meritorious challenges to the reasonableness of Cooper & Scully's request. Furthermore, neither § 330(a)(3) nor the Johnson factors demand an adjustment of the lodestar amount based on the facts before the Court.

Accordingly, the Court finds the lodestar amount is an appropriate measure of the compensation due to Cooper & Scully. See Garza, 2020 WL 718444, at *5 ("The Court begins by noting the strong presumption of the reasonableness of the lodestar amount, and the fact that Applicants must demonstrate a necessary adjustment to calculate a reasonable fee.").

Reasonable Expenses

Cooper & Scully requested $618.39 in expenses. (ECF No. 174 at 1). These expenses include filing fees, costs related to research, postage, and printing costs. (ECF No. 174-3 at 14- 16). The Aguirres did not challenge the reasonableness of these expenses. Accordingly, Cooper & Scully may recover all $618.39 in requested expenses. See Ahmadi, 2018 WL 6523094, at *5.

Allocation of Attorneys' Fees and Costs

Finally, the Trustee allocated Cooper & Scully's costs and fees between the estate, Ms. Mata, and members of Ms. Mata's family. Consistent with this Memorandum Opinion, the Trustee should revise the allocation of attorneys' fees.

CONCLUSION

Cooper & Scully is entitled to $38,177.07 in fees and $618.39 in expenses. The Court will issue an Order consistent with this Memorandum Opinion. The table below illustrates the allowance and disallowance of fees and expenses:

Requested Fee & Expenses

Amount

Subtotal

Total

Fess

Requested

$ 41,410.00

$ 41,410.00

Less

Excessive Fees

$ 828.75

Clerical Fees

$ 1,577.50

Block-Billed Fees

$ 529.18

Unnecessary Fees

$ 297.50

$ 3,232.93

$ 38,177.07

Expenses

Requested

$ 618.39

$ 618.39

Less

$ 0.00

$ 618.39

Allowed Fees & Expenses

$ 38,795.46

SIGNED 10/29/2020

/s/_________

Marvin Isgur

United States Bankruptcy Judge

Appendix A

Glossary BB Block-Billed entries, reduced by 15% E Excessive entries, reduced by 25% UN Unnecessary work, allowed at $0.00 C Clerical work, allowed at $0.00. Amount disallowed in mixed entries included in paranthetical. A Allowed in full Entry Date Attorney Detailed Description Rate Hours Amount Requested Allowed Disallowed Disallowance (See Glossary) 1 4/16/2018 Koenig, Julie Review schedules, sofa, adversary, delineation of heirs, etc. 0.70 $425.00 $297.50 $297.50 $0.00 A 2 4/16/2018 Koenig, Julie Review Listing Agreement, save agreement, make changes re: estate interest, etc. 1.10 $425.00 $467.50 $467.50 $0.00 A 3 4/16/2018 Koenig, Julie Review provisions of Seller's Disclosure - Trustee cannot attest to any of it; add language to that effect; 0.60 $425.00 $255.00 $255.00 $0.00 A 4 4/16/2018 Garcia, Charlene Prepared conflict matter number request and forward to conflicts. Opened file in Clients and Scan folders. 0.20 $100.00 $20.00 $0.00 $20.00 C 5 4/17/2018 Koenig, Julie Review and revise Seller's Disclosures to Listing Agreement (0.2); scan and print; (0.1); discuss with Trustee 0.40 $425.00 $170.00 $127.50 $42.50 C (0.1) 6 4/17/2018 Koenig, Julie Draft Application to Employ C&S, Order & Notice 1.50 $425.00 $637.50 $637.50 $0.00 A 7 4/17/2018 Koenig, Julie Obtain the Trustee's signature on the Listing Agreement 0.20 $425.00 $85.00 $85.00 $0.00 A 8 4/17/2018 Koenig, Julie Scan, rename and send Listing Agreement to Brad. 0.20 $425.00 $85.00 $0.00 $85.00 C 9 4/17/2018 Koenig, Julie Pull service list from PACER; revise Application to Employ C&S as per Trustee; prepare and file with the Court - gave to Erika to mail out. 0.40 $425.00 $170.00 $144.50 $25.50 BB 10 4/18/2018 Koenig, Julie Draft application & order to employ Brad Shumway and Pin Drop Real Estate as realtors; review website, etc.; draft declaration; email to Brad for execution 1.10 $425.00 $467.50 $467.50 $0.00 A 11 5/1/2018 Koenig, Julie Left message for Brad to call re: realtor's declaration; spoke to Brad re: same. 0.10 $425.00 $42.50 $42.50 $0.00 A 12 5/1/2018 Koenig, Julie Review schedules and notes regarding exemptions (0.4); discuss with Trustee on how to handle objection/sale 0.60 $425.00 $255.00 $255.00 $0.00 A 13 5/2/2018 Garcia, Charlene Notarize Declaration for Robert Shumway 0.20 $100.00 $20.00 $20.00 $0.00 A 14 6/26/2018 Koenig, Julie Spoke to Realtor re: listing and showings; prepared for hearing 0.50 $425.00 $212.50 $212.50 $0.00 A 15 6/26/2018 Koenig, Julie Attend hearing on motion to reconsider 1.00 $425.00 $425.00 $425.00 $0.00 A 16 9/12/2018 Koenig, Julie Spoke to Ori Batagower at NewQuest Properties regarding an offer on the Mata's house and how to proceed; emailed the Trustee re: same; reviewed and responded to Ori's email re: same 0.30 $425.00 $127.50 $127.50 $0.00 A 17 9/24/2018 Koenig, Julie Review, mark, scan and revise commercial contract (1.3); draft Trustee's Addendum (0.3); email to the Trustee and Brad 1.70 $425.00 $722.50 $722.50 $0.00 A 18 10/1/2018 Koenig, Julie REview and respond to the Trustee's email regarding the commercial contract 0.10 $425.00 $42.50 $42.50 $0.00 A 19 10/3/2018 Koenig, Julie Review commercial contract for completeness and save as a pdf (0.2); add Exhibit A as a footer to the contract (0.1); begin drafting Motion to Sell including checking schedules, claims register and HCAD for information to include in the Motion (1.8); review docket sheet for main case and adversary to determine distribution of proceeds - print page 5 of ECF #34 for reference (0.4); discuss with the Trustee - only pay commissions, closing costs and taxes - remaining to be distributed under separate order (0.2); finish drafting motion to sell and order (0.6); prepare and file with the Court (0.2); gave to Erika to mail out. 3.60 $425.00 $1,530.00 $1,487.50 $42.50 C (0.1) 20 10/9/2018 Koenig, Julie Work with Ginnie on the deeds, attempting to determine the true legal description of the property from warranty deeds filed of record vs. HCAD legal description 0.50 $425.00 $212.50 $212.50 $0.00 A 21 10/29/2018 Koenig, Julie Save Order Authorizing Sale; send to Ginnie 0.10 $425.00 $42.50 $0.00 $42.50 C 22 10/31/2018 Garcia, Charlene Mailed Certified Copy of Order Approving Sale to Ginnie Rogers 0.10 $100.00 $10.00 $0.00 $10.00 C 23 11/27/2018 Koenig, Julie Review order setting hearing; review letters referenced in the orders and attachments; search probate records and texasfile.com for information on transfers 0.70 $425.00 $297.50 $252.87 $44.63 BB 24 11/27/2018 Koenig, Julie Call Ginnie to check on status of closing; she will update title and send it to me - still problems with the City to work out. 0.20 $425.00 $85.00 $85.00 $0.00 A 25 11/27/2018 Koenig, Julie Draft Notice of Hearing on Letters; add Olivia Reiner to service list; prepare and file with the Court; gave to Erika to mail out. 0.40 $425.00 $170.00 $144.50 $25.50 BB 26 11/27/2018 Garcia, Charlene Mail out- Order Setting Hearing 0.30 $100.00 $30.00 $0.00 $30.00 C 24 Glossary BB Block-Billed entries, reduced by 15% E Excessive entries, reduced by 25% UN Unnecessary work, allowed at $0.00 C Clerical work, allowed at $0.00. Amount disallowed in mixed entries included in paranthetical. A Allowed in full Entry Date Attorney Detailed Description Rate Hours Amount Requested Allowed Disallowed Disallowance (See Glossary) 27 12/14/2018 Koenig, Julie Review email from Julie Warren re: daughter claiming Ms. Mata has interest in other properties;(0.1); research CAD for Harris, Montgomery and Fort Bend Counties - print results; (0.4); spoke to Rachael, Ms. Mata's daughter re: same; made notes. 0.60 $425.00 $255.00 $255.00 $0.00 A 28 12/18/2018 Koenig, Julie Read long email from Ms. Mata's daughter regarding her grandparent's properties, the children's inheritance, and potential estate assets; ask her to send the deeds. 0.30 $425.00 $127.50 $127.50 $0.00 A 29 12/18/2018 Koenig, Julie Review and respond to Raquel's email regarding deeds to the properties 0.10 $425.00 $42.50 $42.50 $0.00 A 30 12/18/2018 Koenig, Julie Review email from Raquel and attached deeds and affidavits to her Mom from Ricardo and Olivia 0.40 $425.00 $170.00 $170.00 $0.00 A 31 12/18/2018 Koenig, Julie Review email from Raquel with attached deeds from her Mom to Ricardo; (0.3); compare deed from Ricardo to Isabel with deed from Isabel to Ricardo - did he take part of 3921 N. Main? 0.50 $425.00 $212.50 $212.50 $0.00 A 32 12/18/2018 Koenig, Julie Review adversary proceeding documents - make notes of parents, children and deeds; review orders setting hearings - print and save relevant documents; (1.4); review documents from main case and letters regarding the distribution of proceeds from the sale of 3921 N. Main. 1.80 $425.00 $765.00 $765.00 $0.00 A 33 12/18/2018 Koenig, Julie Review emails from Raquel and attached checks; maps, etc. 0.20 $425.00 $85.00 $85.00 $0.00 A 34 12/18/2018 Koenig, Julie Discuss case with the Trustee re: potential estate property, hearings in the adversary, distribution to heirs, etc. 0.50 $425.00 $212.50 $212.50 $0.00 A 35 12/18/2018 Koenig, Julie Spoke to Ginnie Rogers at American Title re: potential for Ricardo to have retained part of once was 3921 N. Main in his deed to 206 Walton; discussed title policy findings, closing, etc. 0.30 $425.00 $127.50 $127.50 $0.00 A 36 12/18/2018 Koenig, Julie Continue working on intestate succession on all properties inherited from the parents 1.10 $425.00 $467.50 $467.50 $0.00 A 37 12/19/2018 Koenig, Julie Map out inheritance percentages per property; (0.7); email to Raquel and Ginnie for assistance. 0.80 $425.00 $340.00 $340.00 $0.00 A 38 12/19/2018 Koenig, Julie Pull tax bill on 3921 N. Main; (0.2); pull HCAD proof of claim; (0.1); determine taxes owed by each relative - flawed because of dates (0.3); emailed Tara for a breakdown of total taxes owed by year (0.1) 0.70 $425.00 $297.50 $297.50 $0.00 A 39 12/19/2018 Koenig, Julie Spoke to Pam at Keever Law regarding title to 206 Walton and 3931 N. Main; She will have Ginnie pull a full title commitment on both properties 0.30 $425.00 $127.50 $127.50 $0.00 A 40 12/19/2018 Koenig, Julie Spoke to Raquel regarding the property division and the other properties 0.20 $425.00 $85.00 $85.00 $0.00 A 41 12/20/2018 Koenig, Julie spreadsheet taxes from 1994 to 2018 with allocations of taxes due per ownership interest 3.20 $425.00 $1,360.00 $1,360.00 $0.00 A 42 1/2/2019 Koenig, Julie Review emails and tax payment information from Raquel; asked her to send Reese Baker's client agreement 0.40 $425.00 $170.00 $170.00 $0.00 A 43 1/3/2019 Koenig, Julie Print and review client retainer agreement from Reese Baker and deed from Ricardo to Sylvia regarding Ms. Mata's property 0.20 $425.00 $85.00 $72.25 $12.75 BB 44 1/8/2019 Koenig, Julie Identify, mark and print exhibits and prepare exhibit list (2.4); prepare cover sheet and give to Charlene to bind for the Court 2.50 $425.00 $1,062.50 $1,062.50 $0.00 A 45 1/8/2019 Koenig, Julie Attend hearings on division of proceeds from sale of N. Main Street 1.50 $425.00 $637.50 $637.50 $0.00 A 46 1/8/2019 Garcia, Charlene Prepared Exhibit List notebooks per scheduled hearing this afternoon 2.50 $100.00 $250.00 $0.00 $250.00 C 47 1/9/2019 Koenig, Julie Spoke to Ricardo re: discrepancy in amounts for Mary and Sylvia; reviewed Judge Isgur's percentages and Mr. Aguirre's and he is correct, there is a discrepancy with Mary's inheritance from Benito not going to Sylvia. Revised and printed my spreadsheet for the Trustee 0.30 $425.00 $127.50 $108.37 $19.13 BB 48 1/14/2019 Koenig, Julie Review and respond to Raquel's email regarding the division of funds 0.10 $425.00 $42.50 $42.50 $0.00 A 49 1/16/2019 Koenig, Julie Review email from Brent, Olivia's son regarding her deed; pulled and printed the deed Ginnie sent and asked her how hard it would be to get a certified copy; responded to Brent's email 0.20 $425.00 $85.00 $85.00 $0.00 A 50 1/16/2019 Koenig, Julie Research underlying state court litigation; review pleadings and exhibits - Olivia never challenged the deed and the summary judgment has a certified copy attached; printed relevant documents and sent certified deed to Brent - all in preparation for today's hearing 1.00 $425.00 $425.00 $361.25 $63.75 BB 51 1/16/2019 Koenig, Julie Met with the Trustee and the Mata and Aguirre families to discuss the costs of sale; distribution of proceeds, their objections, etc 2.00 $425.00 $850.00 $850.00 $0.00 A 25 Glossary BB Block-Billed entries, reduced by 15% E Excessive entries, reduced by 25% UN Unnecessary work, allowed at $0.00 C Clerical work, allowed at $0.00. Amount disallowed in mixed entries included in paranthetical. A Allowed in full Entry Date Attorney Detailed Description Rate Hours Amount Requested Allowed Disallowed Disallowance (See Glossary) 52 1/21/2019 Koenig, Julie REview and respond to Raquel's email regarding Mr. Baker's proof of claim 0.10 $425.00 $42.50 $42.50 $0.00 A 53 1/25/2019 Koenig, Julie Read Court's Order on the latest filings by Raquel and Bert; save and email the order to them 0.20 $425.00 $85.00 $85.00 $0.00 A 54 1/29/2019 Koenig, Julie Review and respond to Raquel's inquiry regarding closing 0.10 $425.00 $42.50 $42.50 $0.00 A 55 1/29/2019 Koenig, Julie Pull names of all interest holders and the order authorizing the sale; (0.2); draft Trustee's deed with vendor's lien; (0.7); email to Ginnie & Pam 1.00 $425.00 $425.00 $425.00 $0.00 A 56 1/31/2019 Garcia, Charlene Received a telephone call from Ricardo stating he was checking status on an ER Hearing Julie was going to file in regards to the dispute of the property. He also stated he is not getting notices that Ted files. He filed a motion for more fee payments and he did not get notice and wants to attend that meeting. He stated he needs a breakdown of Ted's and Julie's fees. I emailed Julie with this information 0.30 $100.00 $30.00 $30.00 $0.00 A 57 2/6/2019 Koenig, Julie Review Schedule C #7 for style of lawsuit (0.1); research lawsuit on the Harris County Clerk's website and print relevant documents (0.4); draft Agreed Final Order of Dismissal (0.6); spoke to Ed Harrell's secretary re: dismissing as to his client Olivia Reiner; (0.2); attempted to contact Ms. Mata's state court counsel - no answer - sent him an email re: signing the order (0.1); returned Ricardo's call and left a message 1.50 $425.00 $637.50 $637.50 $0.00 A 58 2/20/2019 Koenig, Julie Discuss closing with the Trustee; pull a copy of the information sheet required by Ginnie; emailed Raquel, Bert and Sylvia re: a meeting - attached the Trustee's Deed and the information sheet 0.30 $425.00 $127.50 $108.37 $19.13 BB 59 2/21/2019 Koenig, Julie Discuss Ricardo's email with the Trustee; email Agreed Order of Dismissal of the state court litigation to Ed Harrell and Ghazal Vahora for execution with an explanation 0.40 $425.00 $170.00 $144.50 $25.50 BB 60 2/21/2019 Koenig, Julie Draft email to Ricardo & Sylvia - send to the Trustee, review his response; revise and send the email regarding motion to compel 0.20 $425.00 $85.00 $85.00 $0.00 A 61 2/21/2019 Koenig, Julie Discussed documents to be signed with Bert; discussed appeals, etc.; emailed documents to Bert for his mother to sign. 0.30 $425.00 $127.50 $127.50 $0.00 A 62 2/25/2019 Koenig, Julie Conference call with the Trustee and Ricardo Aguirre 0.20 $425.00 $85.00 $85.00 $0.00 A 63 2/25/2019 Koenig, Julie Draft Motion and Order to Compel and for Sanctions (1.2); prepare and file with the Court (0.2); save and email copies to Ricardo, Sylvia, Brent and Raquel 1.50 $425.00 $637.50 $637.50 $0.00 A 64 2/25/2019 Koenig, Julie REview Court's remarks on docket (0.1); draft Order Granting Trustee's Motion to Compel (0.6); email to the Trustee 0.80 $425.00 $340.00 $340.00 $0.00 A 65 2/25/2019 Koenig, Julie Spoke to Raquel re: the motion 0.10 $425.00 $42.50 $42.50 $0.00 A 66 2/25/2019 Koenig, Julie Spoke to the Trustee re: Order Granting Motion to Compel (0.1); conference call with Ginnie 2x re: Settlement Statement 0.30 $425.00 $127.50 $127.50 $0.00 A 67 2/25/2019 Koenig, Julie Prepare Exhibits A - C for filing, prepare Order for filing 0.30 $425.00 $127.50 $127.50 $0.00 A 68 2/25/2019 Garcia, Charlene Mailed Trustee's ER Motion to Compel Execution of Closing Documents and for Sanctions a Hearing Request and Order Setting Hearing to Mary Jones per Julie's request 0.20 $100.00 $20.00 $0.00 $20.00 C 69 2/26/2019 Koenig, Julie Discuss proposed order and settlement statement with the Trustee; revise the Order to remove the settlement statement and add a footnote re: when it is anticipated 0.30 $425.00 $127.50 $127.50 $0.00 A 70 2/26/2019 Koenig, Julie Review and respond to Bert's email regarding the documents for Ms. Reiner to sign; attach the documents again. 0.20 $425.00 $85.00 $85.00 $0.00 A 71 2/26/2019 Koenig, Julie Scan, footnote and attach exhibits to Trustee's Special Warranty Deed (0.3); prepare all documents and file with the Court (0.5); receive, print, scan, rename and email proposed order and exhibits to Ms. Do with a copy to the Trustee, Ricardo, Sylvia, Raquel and Bert. 1.00 $425.00 $425.00 $340.00 $85.00 C (0.2) 72 2/27/2019 Koenig, Julie Review Brad Shumway's email regarding the City issues 0.10 $425.00 $42.50 $42.50 $0.00 A 73 3/5/2019 Koenig, Julie Pull and review pleadings in state court litigation; (0.4); discuss counter-claims with the Trustee (0.1); draft joint notice of partial non- suit (0.6); revise as per Fred's suggestions (0.2); send to Ginnie for underwriting's approval 1.40 $425.00 $595.00 $446.25 $148.75 E 74 3/6/2019 Koenig, Julie Read Ginnie's email with underwriter's comments; (0.1) Draft Joint Motion and Order for Partial Non-Suit as per underwriter's instructions (1.2); Email to Ginnie for their review (0.1) 1.40 $425.00 $595.00 $446.25 $148.75 E 75 3/6/2019 Koenig, Julie Review all abstracts of judgment and liens against Mary Jones and the Aguirres; scanned and emailed judgments to the Aguirres; spoke to Mary about hers; emailed Ginnie the results 0.50 $425.00 $212.50 $180.62 $31.88 BB 76 3/6/2019 Koenig, Julie Review abstract against the Debtor; research case on District PACER; email Ginnie re: same 0.30 $425.00 $127.50 $108.37 $19.13 BB 26 Glossary BB Block-Billed entries, reduced by 15% E Excessive entries, reduced by 25% UN Unnecessary work, allowed at $0.00 C Clerical work, allowed at $0.00. Amount disallowed in mixed entries included in paranthetical. A Allowed in full Entry Date Attorney Detailed Description Rate Hours Amount Requested Allowed Disallowed Disallowance (See Glossary) 77 3/7/2019 Koenig, Julie Review emails from the Trustee, Ginnie and Sylvia; reply to Sylvia's email regarding judgments against Ricardo and the need for the information sheet 0.40 $425.00 $170.00 $144.50 $25.50 BB 78 3/7/2019 Koenig, Julie Discuss all issues regarding closing, paperwork, settlement statement, etc. with the Trustee 0.20 $425.00 $85.00 $85.00 $0.00 A 79 3/7/2019 Garcia, Charlene Gave Information Statement for Sellers and Borrowers to Erika to overnight and send with a 2 day envelope for return 0.20 $100.00 $20.00 $0.00 $20.00 C 80 3/8/2019 Koenig, Julie Review Notice to the Court and Motion for Summary Judgment in the state court litigation; email Chuck re: same 0.30 $425.00 $127.50 $127.50 $0.00 A 81 3/11/2019 Koenig, Julie Spoke to the Trustee about the Debtor refusing to let the workmen on the property (0.2); spoke to Brad and the police about the procedure to have her removed (0.3); reviewed the Trustee's text and responded 0.60 $425.00 $255.00 $255.00 $0.00 A 82 3/11/2019 Koenig, Julie Spoke to the Trustee about an eviction order - he requested an emergency motion with Judge Isgur (0.1); drafted emergency motion, order for hearing, and order on motion to have the Debtor vacate the premises; (1.0); prepare and file with the Court (0.2); gave to Erika to mail out (0.1); scanned and emailed to Raquel to give to the Debtor and to Ms. Do to give to the Court (0.1) 1.50 $425.00 $637.50 $552.50 $85.00 C (0.2) 83 3/11/2019 Koenig, Julie Review Court's Order on Emergency Motion to Compel the Debtor; discussed the order with Brad Shumway; discussed the order with the Trustee 0.30 $425.00 $127.50 $108.37 $19.13 BB 84 3/12/2019 Koenig, Julie Pull Order Granting Trustee's Emergency Motion to Compel the Debtor; email to Brad Shumway, copy the Trustee, Julie Warren and Raquel Winn 0.20 $425.00 $85.00 $72.25 $12.75 BB 85 3/12/2019 Koenig, Julie Review and respond to Ed Harrell's email about withdrawing from the state court litigation 0.10 $425.00 $42.50 $42.50 $0.00 A 86 3/12/2019 Garcia, Charlene Received the statement of identity from Ms. Jones. Scanned and emailed to Ginnie Rogers 0.20 $100.00 $20.00 $20.00 $0.00 A 87 3/13/2019 Koenig, Julie Review Docket Sheet for date of hearing; (0.1); pull transcript form from Court Website and complete to order a transcript of the 1/8/19 hearing; (0.5); pull copy of transcribers from Court website 0.70 $425.00 $297.50 $0.00 $297.50 UN 88 3/13/2019 Koenig, Julie Review Docket Sheet for motions to reconsider the Court's 1/9/19 judgment; review and respond to Mr. Aguirre's email 0.40 $425.00 $170.00 $144.50 $25.50 BB 89 3/13/2019 Koenig, Julie Draft demand letter to Ms. Mata for all original deeds to 3921 N. Main Street; gave to Charlene to mail out 0.30 $425.00 $127.50 $127.50 $0.00 A 90 3/13/2019 Koenig, Julie Pull ownership history from 301 Cordell and sent to Ginnie to show Ms. Jones has owned that property since 1988 0.20 $425.00 $85.00 $85.00 $0.00 A 91 3/13/2019 Koenig, Julie Pull Settlement Statement, calculate the equity for Ricardo and Sylvia; calculate the amount of judgments against them as shown on the settlement statement; discuss with the Trustee 0.30 $425.00 $127.50 $127.50 $0.00 A 92 3/13/2019 Koenig, Julie Go to Ms. Mata's property to meet Brad and try to talk to her about moving - refused to obey the Court's order to move; (1.2) discussed with the Trustee (0.2); - went to the U.S. Marshall's office re: same (0.8 2.40 $425.00 $1,020.00 $1,020.00 $0.00 A 93 3/13/2019 Koenig, Julie Review and revise Trustee's Emergency Motion for Civil Contempt (0.7); draft Order for Hearing (0.2); draft Order Granting Motion (0.5); prepare and file with the Court (0.3); gave to Charlene to mail out (0.1); scanned and emailed to Ms. Do (0.1); delivered a copy to 2.20 $425.00 $935.00 $850.00 $85.00 C (0.2) 94 3/13/2019 Garcia, Charlene Telephone call from Mr. Tow, he needs the ER Motion to Compel debtor and vacate the property along with the order. Pulled and emailed. He needs the Word form, emailed 0.20 $100.00 $20.00 $20.00 $0.00 A 95 3/13/2019 Garcia, Charlene Mailed demand letter requesting deeds with self addressed envelope 0.20 $100.00 $20.00 $0.00 $20.00 C 96 3/13/2019 Garcia, Charlene Mail out- Trustee's ER Motion Seeking Civil Contempt Relief Regarding Debtors Failure to Vacate as Ordered by the Court at Docket No. 140 and Request for Hearing 0.50 $100.00 $50.00 $0.00 $50.00 C 97 3/15/2019 Koenig, Julie REview Raquel's email regarding her mother and the hearing; pulled order of conversion and underlying motion from pacer and sent it to her 0.30 $425.00 $127.50 $108.37 $19.13 BB 98 3/18/2019 Koenig, Julie Email Brad the information sheet and settlement statement 0.10 $425.00 $42.50 $42.50 $0.00 A 99 3/18/2019 Koenig, Julie EMail the order setting hearing and Ms. Mata's objection to Bert and Ricardo/Sylvia 0.20 $425.00 $85.00 $85.00 $0.00 A 100 3/18/2019 Koenig, Julie Prepare exhibits, exhibit & witness list; print for hearing; prepare and file with the Court 1.00 $425.00 $425.00 $425.00 $0.00 A 101 3/18/2019 Koenig, Julie Attend hearing on Trustee's motion for civil contempt 1.00 $425.00 $425.00 $425.00 $0.00 A 102 3/18/2019 Garcia, Charlene Sent reminder to Julie of today's hearing 0.10 $100.00 $10.00 $0.00 $10.00 C 27 Glossary BB Block-Billed entries, reduced by 15% E Excessive entries, reduced by 25% UN Unnecessary work, allowed at $0.00 C Clerical work, allowed at $0.00. Amount disallowed in mixed entries included in paranthetical. A Allowed in full Entry Date Attorney Detailed Description Rate Hours Amount Requested Allowed Disallowed Disallowance (See Glossary) 103 3/18/2019 Garcia, Charlene Received voice mail from a Mr. Stokes regarding hearing for today, forward to Julie 0.20 $100.00 $20.00 $20.00 $0.00 A 104 3/19/2019 Koenig, Julie Draft Order after hearing on Trustee's Emergency Motion for Civil Contempt; (0.7) prepare and file with the Court;(0.2); email to Ms. Do 1.00 $425.00 $425.00 $425.00 $0.00 A 105 3/20/2019 Koenig, Julie Return Mary's call & left a message 0.10 $425.00 $42.50 $42.50 $0.00 A 106 3/20/2019 Koenig, Julie Attempted to return Raquel's call but mail box not set up 0.10 $425.00 $42.50 $42.50 $0.00 A 107 3/20/2019 Koenig, Julie Return Pam's call; left message 0.10 $425.00 $42.50 $42.50 $0.00 A 108 3/20/2019 Koenig, Julie Telephone conference with Pam Keever regarding Ricardo's demands to see original deeds, refusal to sign information sheet, and judgments against him 0.30 $425.00 $127.50 $127.50 $0.00 A 109 3/20/2019 Koenig, Julie Draft notice of trustee's interest in property (0.5); pull real property description (0.2); gave to Erika to have filed 0.80 $425.00 $340.00 $297.50 $42.50 C (0.1) 110 3/20/2019 Garcia, Charlene Notarized Acknowledgement for Julie 0.10 $100.00 $10.00 $10.00 $0.00 A 111 3/26/2019 Garcia, Charlene Received telephone call from Ms. Mary Jones, needing to know the status on the property documents being signed. I advised I would discuss this will Julie and give her a call tomorrow with the status. Emailed Julie 0.20 $100.00 $20.00 $20.00 $0.00 A 112 3/27/2019 Koenig, Julie Review and respond to Charlene's email regarding information sought by Ms. Jones on the documents 0.10 $425.00 $42.50 $42.50 $0.00 A 113 3/27/2019 Garcia, Charlene Received email from Julie stating to call Ms. Jones regarding her question and advise they should be signing all the paperwork in regards to the property sometime next week, left a voice mail 0.20 $100.00 $20.00 $20.00 $0.00 A 114 4/2/2019 Koenig, Julie Email Ricardo and Sylvia re: signing documents 0.10 $425.00 $42.50 $42.50 $0.00 A 115 4/4/2019 Koenig, Julie Review and respond to Brad's email regarding Ricardo reviewing the original deed 0.10 $425.00 $42.50 $42.50 $0.00 A 116 4/11/2019 Koenig, Julie Pull and review all emails with Ricardo, Sylvia, Bert, the Trustee and myself and the title commitment 1.00 $425.00 $425.00 $425.00 $0.00 A 117 4/11/2019 Koenig, Julie Email Ginnie for an updated Settlement Statement 0.10 $425.00 $42.50 $42.50 $0.00 A 118 4/11/2019 Koenig, Julie Draft Second Emergency Motion to Compel and Order (2.1); identify, mark, highlight and prepare all exhibits for filing (1.8); email Ginnie for an updated Settlement Statement (0.1); review the statement - still has Mary Jones judgments - email Ginnie to remove them (0.2); review and mark revised Settlement Statement (0.1); prepare and file all documents (0.3); print filed documents (0.2); scanned and emailed to Ms. Do, Ricardo, Sylvia and Bert (0.2) 5.00 $425.00 $2,125.00 $1,593.75 $531.25 E 119 4/15/2019 Koenig, Julie Print all documents for Ms. Reiner to sign - she did not show; gave to Charlene in case she comes later; emailed Bert re: same 0.30 $425.00 $127.50 $127.50 $0.00 A 120 4/16/2019 Koenig, Julie Review emails between the Trustee and Ginnie; review and print additional documents required by the title company 0.20 $425.00 $85.00 $72.25 $12.75 BB 121 4/16/2019 Koenig, Julie Met with Mr. & Mrs. Reiner and Bert to review and sign documents 0.50 $425.00 $212.50 $212.50 $0.00 A 122 4/16/2019 Koenig, Julie Review Title Company Disclosures with Ginnie as to what they have to sign or initial; (0.4); discuss with Trustee and discuss amending the order so funds go to him to hold 0.60 $425.00 $255.00 $255.00 $0.00 A 123 4/16/2019 Koenig, Julie Review Title Company Disclosures (42 pages), mark questions for Ginnie 0.50 $425.00 $212.50 $212.50 $0.00 A 124 4/16/2019 Garcia, Charlene Telephone call to Mrs. Mary Jones, left a voice mail regarding meeting on Friday to sign documents 0.10 $100.00 $10.00 $10.00 $0.00 A 125 4/16/2019 Garcia, Charlene Notarized Trustee's Warranty Deed and Vender's Lien- Mrs. Reiner 0.20 $100.00 $20.00 $20.00 $0.00 A 126 4/17/2019 Koenig, Julie Scan highlighted Title Company Disclosures to myself and Charlene; go through the documents with Charlene so she can meet with Ms. Jones to get everything signed and notarized; email highlighted Disclosures to Bert Reiner with instructions on what his parents need to fill out and request for original by Monday, 4/22/19; email highlighted Disclosures to Mr & Mrs. Aguirre with same instructions 0.50 $425.00 $212.50 $180.62 $31.88 BB 127 4/17/2019 Garcia, Charlene Received Title Company Disclosures and reviewed with Julie 0.30 $100.00 $30.00 $30.00 $0.00 A 128 4/17/2019 Garcia, Charlene Left voice mail for Mary Jones regarding meeting on Friday 0.10 $100.00 $10.00 $10.00 $0.00 A 129 4/17/2019 Garcia, Charlene Telephone call from Mary Jones, set up meeting on Friday to sign and notarize documents. Explained what the documents were 0.30 $100.00 $30.00 $30.00 $0.00 A 28 Glossary BB Block-Billed entries, reduced by 15% E Excessive entries, reduced by 25% UN Unnecessary work, allowed at $0.00 C Clerical work, allowed at $0.00. Amount disallowed in mixed entries included in paranthetical. A Allowed in full Entry Date Attorney Detailed Description Rate Hours Amount Requested Allowed Disallowed Disallowance (See Glossary) 130 4/19/2019 Garcia, Charlene Met with Mary Jones to sign and notarize documents, Trustee's Warranty Deed and Vendors Lien, Settlement Statement, and Title Company Disclosures 0.50 $100.00 $50.00 $50.00 $0.00 A 131 4/22/2019 Koenig, Julie Discuss documents with Charlene - still missing the Title documents from the Reiner's and everything from the Aguirre's. 0.20 $425.00 $85.00 $85.00 $0.00 A 132 4/22/2019 Garcia, Charlene Received voice mail from Mary Jones with her social security number to add to the paperwork signed on Friday. Updated paperwork 0.20 $100.00 $20.00 $20.00 $0.00 A 133 4/22/2019 Garcia, Charlene Made copies and scanned all documents signed from Mary Jones and Olivia Reiner 0.30 $100.00 $30.00 $0.00 $30.00 C 134 4/23/2019 Koenig, Julie Review Trustee's email re: Title Documents and Settlement Statement; pull latest settlement statement and email to him 0.20 $425.00 $85.00 $85.00 $0.00 A 135 4/23/2019 Koenig, Julie Prepare for motion for sanctons hearing 1.00 $425.00 $425.00 $425.00 $0.00 A 136 4/23/2019 Koenig, Julie Attend hearing on Motion for Sanctions; stay for originals to be copied; gave originals to Brad to take to the Title Company 2.00 $425.00 $850.00 $850.00 $0.00 A 137 4/23/2019 Koenig, Julie Discuss closing, case and motion to amend with the Trustee 0.30 $425.00 $127.50 $127.50 $0.00 A 138 4/23/2019 Koenig, Julie Review lawsuit filed by Olivia against Isabel in County Civil Court at Law #1; review docket sheet, etc 0.50 $425.00 $212.50 $212.50 $0.00 A 139 4/23/2019 Koenig, Julie Two Conference calls with the Trustee & Bert re: lawsuit 0.30 $425.00 $127.50 $127.50 $0.00 A 140 4/23/2019 Koenig, Julie Discuss lawsuit with Jim Stokes; email him a copy 0.20 $425.00 $85.00 $85.00 $0.00 A 141 4/23/2019 Koenig, Julie Emails with the Trustee and Ginnie regarding the lawsuit and the impact on today's closing 0.20 $425.00 $85.00 $85.00 $0.00 A 142 4/23/2019 Koenig, Julie Review Isabel's appeal - should have been dismissed after March 15 if defects not cured; emailed Case Manager re: same; reviewed her response. 0.20 $425.00 $85.00 $85.00 $0.00 A 143 4/23/2019 Garcia, Charlene Received the Title Company Disclosures from Mrs. Reiner, they were left on my chair. Scanned and saved 0.20 $100.00 $20.00 $0.00 $20.00 C 144 4/23/2019 Garcia, Charlene Gathered all the signed documents from Mrs. Reiner and Mrs. Jones, gave to Julie per today's hearing 0.20 $100.00 $20.00 $0.00 $20.00 C 145 4/23/2019 Garcia, Charlene Attended the Trustee's Hearing on Second Emergency Motion to Compel. Notarized the Trustee's Warranty Deed and Vendors Lien and Title Company Disclosures for Mr. & Mrs. Aguirre 1.00 $100.00 $100.00 $100.00 $0.00 A 146 4/23/2019 Garcia, Charlene Mailed copies of the Settlement Statement, Title Company Disclosures, Trustee's Special Warranty Deed, Identity Document and the Nonsuit document to Mrs. Jones and Mrs. Reiner 0.20 $100.00 $20.00 $0.00 $20.00 C 147 4/24/2019 Koenig, Julie Check state court litigation - dismissal not filed; save all documents filed in the case 0.50 $425.00 $212.50 $180.62 $31.88 BB 148 4/24/2019 Koenig, Julie Discuss removal of state court case with the Trustee; discuss amended order with Ginnie & Pam re: what is needed for closing 0.30 $425.00 $127.50 $127.50 $0.00 A 149 4/24/2019 Koenig, Julie Draft Notice of Removal of State Court Lawsuit (2.1); prepare and file with the Court (0.4); copied, scanned & gave to Charlene for filing in State Court proceeding 2.80 $425.00 $1,190.00 $1,062.50 $127.50 C (0.3) 150 4/24/2019 Koenig, Julie Reviewed filing in State Court Lawsuit; downloaded filed document; saved to file 0.20 $425.00 $85.00 $72.25 $12.75 BB 151 4/24/2019 Koenig, Julie Discussed motion for amended order of sale with the Trustee 0.20 $425.00 $85.00 $85.00 $0.00 A 152 4/24/2019 Koenig, Julie Draft Expedited Motion & Order to Amend Sales Order(2.5) email to Ginnie, Pam & the Trustee 2.60 $425.00 $1,105.00 $1,105.00 $0.00 A 153 4/24/2019 Koenig, Julie Discuss motion and order with Ginnie and Pam; make suggested revisions 0.20 $425.00 $85.00 $85.00 $0.00 A 154 4/24/2019 Koenig, Julie Review Trustee's emailed comments to motion and order; make revisions re: same 0.20 $425.00 $85.00 $85.00 $0.00 A 155 4/24/2019 Koenig, Julie Prepare and file motion, exhibit and order with the Court; scan and email to Ms. Do; gave to Erika to mail out 0.40 $425.00 $170.00 $127.50 $42.50 C (0.1) 156 4/24/2019 Koenig, Julie Spoke to Ginnie and Pam re: underwriters won't allow closing until 15 days after amended order signed 0.10 $425.00 $42.50 $42.50 $0.00 A 157 4/24/2019 Garcia, Charlene Efiled Notice of Removal of State Court Action regarding Olivia Reiner. Mailed to Mrs. Reiner, Mrs. Mata and James Stokes 0.30 $100.00 $30.00 $30.00 $0.00 A 158 4/24/2019 Garcia, Charlene Received file stamp copy of Notice of Removal, saved, printed and forward to Julie 0.20 $100.00 $20.00 $0.00 $20.00 C 159 4/24/2019 Garcia, Charlene Saved Motion to Amend Order Approving Sale 0.20 $100.00 $20.00 $0.00 $20.00 C 29 Glossary BB Block-Billed entries, reduced by 15% E Excessive entries, reduced by 25% UN Unnecessary work, allowed at $0.00 C Clerical work, allowed at $0.00. Amount disallowed in mixed entries included in paranthetical. A Allowed in full Entry Date Attorney Detailed Description Rate Hours Amount Requested Allowed Disallowed Disallowance (See Glossary) 160 4/25/2019 Koenig, Julie Download and review amended order for sale; save and email to Ginnie, Pam and the Trustee 0.20 $425.00 $85.00 $85.00 $0.00 A 161 4/25/2019 Garcia, Charlene Received Amended Order Approving Sale of Real Property, saved 0.10 $100.00 $10.00 $0.00 $10.00 C 162 4/25/2019 Garcia, Charlene Received voice mail from Mrs. Jones, forward to Julie she wants a status check on the Motion to Sale 0.20 $100.00 $20.00 $20.00 $0.00 A 163 4/29/2019 Koenig, Julie Review Court's Order Setting Rule 7016 conference, calendar dates, check certificate of mailing - mailed to the Plaintiff 0.50 $425.00 $212.50 $180.62 $31.88 BB 164 5/8/2019 Garcia, Charlene Notarized Title Company Disclosure for Rodney Tow, scanned and forward to Ginnie Rogers 0.30 $100.00 $30.00 $20.00 $10.00 C (0.1) 165 5/9/2019 Garcia, Charlene Scanned the Settlement Statement and emailed to Ginnie Rogers 0.10 $100.00 $10.00 $0.00 $10.00 C 166 5/13/2019 Garcia, Charlene Received Trustee's Report of Sale, saved 0.10 $100.00 $10.00 $10.00 $0.00 A 167 5/16/2019 Koenig, Julie Request updated invoice from accounting; discuss fees with the Trustee 0.20 $425.00 $85.00 $85.00 $0.00 A 168 5/16/2019 Koenig, Julie Go through fees, mark fees attributable to Ricardo, Sylvia & Olivia; (0.4); spreadsheet by date, name & amount; (0.5); gave to Charlene to add expenses 1.00 $425.00 $425.00 $382.50 $42.50 C (0.1) 169 5/16/2019 Garcia, Charlene Reviewed billing sheet per Julie's request. Emailed Noelle to forward March and April postage sheets. Reviewed postage sheets, the postage is included on the billing but with the last date of month. Emailed S. Henderson to please correct the postage dates on the bill 0.30 $100.00 $30.00 $30.00 $0.00 A 170 5/16/2019 Garcia, Charlene Telephone call with Ms. Henderson, discussed the billing postage. She will correct the bill and forward. Reviewed and discussed with Julie 0.30 $100.00 $30.00 $30.00 $0.00 A 171 5/29/2019 Koenig, Julie Pull Order for Conference in Adversary; email to Bert 0.20 $425.00 $85.00 $85.00 $0.00 A 172 6/3/2019 Garcia, Charlene Received telephone call from Trustee Rodney Tow, he needs to know if accounting can set up the bill in a spreadsheet. Emailed Susan 0.20 $100.00 $20.00 $20.00 $0.00 A 173 6/5/2019 Koenig, Julie Read and respond to Raquel's email regarding a distribution to Ms. Mata 0.10 $425.00 $42.50 $42.50 $0.00 A 174 6/10/2019 Koenig, Julie Review email from the CPA re: tax cost basis and taxes due from sale; look up date her mother died; pull HUD statement for amount of taxes paid; respond to CPA's email re: same; forward him the HUD statement 0.30 $425.00 $127.50 $108.37 $19.13 BB 175 6/10/2019 Koenig, Julie REview CPA's email regarding the tax return; look up my fees and expenses through May and send the amount to him 0.10 $425.00 $42.50 $42.50 $0.00 A 176 6/11/2019 Koenig, Julie Attend scheduling conference, Adversary dismissed 0.50 $425.00 $212.50 $212.50 $0.00 A 177 6/21/2019 Garcia, Charlene Received a voice mail from Mary Jones, forward to Julie 0.10 $100.00 $10.00 $0.00 $10.00 C 178 6/27/2019 Koenig, Julie Review Trustee's First Amended Expedited Motion to Authorize Interim Distribution and exhibits 0.50 $425.00 $212.50 $212.50 $0.00 A 179 7/9/2019 Koenig, Julie Download and print Trustee's Amended Motion to Distribute Funds, Exhibits & Order (0.2); prepare & print exhibit cover sheets (0.2); email the Trustee re: the exhibit list. 0.50 $425.00 $212.50 $0.00 $212.50 C 180 7/9/2019 Garcia, Charlene Prepared trustee's exhibit notebooks per hearing scheduled Thursday 7/11/19 regarding Trustee's First Amended Expedited Motion to Authorize Trustee to Make Interim Distribution 1.00 $100.00 $100.00 $100.00 $0.00 A 181 7/10/2019 Koenig, Julie Prepare for hearing on Trustee's Motion to Distribute Funds 1.50 $425.00 $637.50 $637.50 $0.00 A 182 7/11/2019 Koenig, Julie Prepare for and attend hearing on Trustee's amended motion 1.00 $425.00 $425.00 $425.00 $0.00 A 183 7/12/2019 Koenig, Julie Review and save Order on Amended Motion for Interim Distributions 0.10 $425.00 $42.50 $42.50 $0.00 A 184 7/12/2019 Koenig, Julie Email the Trustee Mary's address for her check 0.10 $425.00 $42.50 $0.00 $42.50 C 185 8/5/2019 Koenig, Julie Draft interim fee application, order & notice 3.20 $425.00 $1,360.00 $1,360.00 $0.00 A Totals: 107.30 $41,410.00 $38,177.07 $3,232.93


Summaries of

In re Mata

UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION
Oct 29, 2020
CASE NO: 16-33808 (Bankr. S.D. Tex. Oct. 29, 2020)
Case details for

In re Mata

Case Details

Full title:IN RE: ISABEL MATA; aka VILLARREAL Debtor

Court:UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

Date published: Oct 29, 2020

Citations

CASE NO: 16-33808 (Bankr. S.D. Tex. Oct. 29, 2020)