ML042180232

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Errata Re Eighth and Final Fee Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for Winston & Strawn
ML042180232
Person / Time
Site: Diablo Canyon  Pacific Gas & Electric icon.png
Issue date: 07/30/2004
From: Justic S
Pacific Gas & Electric Co, Winston & Strawn, LLP
To:
Office of Nuclear Reactor Regulation, US Federal Judiciary, Bankruptcy Court, Northern District of California
References
01-30923 DM, 94-0742640
Download: ML042180232 (4)


Text

1 Donald K. Dankner (No. 0186536)

Thomas F. Blakemore (No. 03121566) 2 Stacy D. Justic (No. 6277752) 3 WINSTON & STRAWN 35 West Wacker, Suite 4200 4 Chicago, IL 60601 312-558-5600 (Phone) 5 312-558-5700 (Facsimile)

Special Counsel to Debtor and Debtor in Possession 6 Pacific Gas and Electric Company 7

8 9 UNITED STATES BANKRUPTCY COURT 10 NORTHERN DISTRICT OF CALIFORNIA 11 SAN FRANCISCO DIVISION 12 In re Case No. 01-30923 DM 13 PACIFIC GAS AND ELECTRIC Chapter 11 Case 14 COMPANY, a California corporation, Hearing Date: , 2004 15 Debtor. Hearing Time: a.m.

16 Federal I.D. No. 94-0742640 17 ERRATA RE EIGHTH AND FINAL FEE APPLICATION 18 FOR ALLOWANCE AND PAYMENT OF INTERIM COMPENSATION AND REIMBURSEMENT OF EXPENSES FOR WINSTON & STRAWN 19 20 The law firm of Winston & Strawn ("W&S'), special counsel for the above-21 captioned debtor and debtor-in-possession, files this Errata amending the fee, expense, and total 22 amounts owed in the "Winston & Strawn's Eighth and Final Fee Application for Allowance and 23 Payment of Interim Compensation and Reimbursement of Expenses for the Period August 16, 24 2001 Through April 12, 2004" (the "Application").

25 W&S has agreed with the Debtor to accept their numbers. Accordingly, W&S 26 has consented to the following revised numbers for the total fee amount, the total expense 27 28 CI11:1395743.3 e)V-VJZ

1 amount, and the total amount owed. These revised amounts will be placed as follows in the 2 Application:

3

1. On Page 9, Line 19 of the Application, the final allowance under 4

Bankruptcy Code § 330(a)(1) of compensation should read '$3,625,670.26," not $3,662,785.16.

5 6 2. On Page 9, Line 19 of the Application, the expenses should read 7 "$269,159.69," not $267,729.70.

8 3. On Page 9, Line 21 of the Application, the total fees and expenses 9 incurred during this Final Application Period should read "$3,894,829.95," not $3, 930,514.86.

10 4. On Page 18, Line 8 of the Application, the actual and necessary out-of-pocket disbursements during the Final Application Period should read "$269,159.69," not 12 13 $267,729.70.

14 5. On Page 19, Line 14 of the Application, the total expenses should read 15 "$269,159.69," not $267,729.70.

16 6. On Page 20, Line 4 of the Application, the final allowance of fees should 17 read "$3,625,670.26," not $3,662,785.16.

18 7. On Page 20, Line 5 of the Application, the expenses should read 19

'$269,159.69," not $267,729.70.

20 21 8. On Exhibit B, Page vi, Line 7 of the Application, the Total Fees Incurred 22 During Application Pcriod should read "$3,625,670.26," not $3,662,785.16.

23 9. On Exhibit D of the Application, the Total Fees should read 24 "3,625,670.26" not 3,662,785.16.

25 10. On Exhibit F of the Application, the Total Expenses should read 26 "$269,159.69," not $268,822.27.

27 In an effort to further clarify the Application, W&S would like to point out that on 28 Footnote 3 of the Application, we noted that we submitted two (2) invoices for services incurred

  • 2 C}11:1395743.3

.1 1 during the Eighth Interim Period but inadvertently omitted from the monthly applications. These 2 invoices had not been previously submitted to the court. The invoices are as follows: Invoice no.

1806292, billing $1,710.15 in fees and $3.17 in expenses to matterD, Diablo Canyon, during the 4

month of February 2004 and Invoice no. 1811672 billing $3,469.15 in fees and $53.61 in 5

6 expenses to matter D, Diablo Canyon, during the month of March 2004. Copies of these 7 invoices were submitted with the Application.

8 The final amounts for fees, expenses, and total amount owed outlined previously 9 in this document include one hundred percent full payment of all fees and expenses from these 10 footnoted invoices.

11 12 13 Dated: July 30, 2004 WINSTON & STRAWN 14 By. <jktl oX) 15 One o(Vlts Attorneys 327(e) Counsel to Debtors and 16 Debtors in Possession 17 18 19 20 21 22 23 24 25 26 27 28 3

I 2 CERTIFICATE OF SERVICE 3 I, Paige D. Stepan, certify that on or about July 30, 2004 I caused a copy of the attached Errata re Eighth and Final Application For Allowance of Fees And Expenses For The Period August 16, 2001 through April 12, 2004 to be served upon the-United States 5 Trustee, Pacific Gas and Electric Company (TG&E"), the debtor and debtor in possession, reorganization counsel for PG&E, and counsel for the Official Committee of Unsecured 6 Creditors in the PG&E bankruptcy case, at the following addresses, via overnight Federal Express or U.S. Mail delivery, as indicated:

By Federal Express 8

United States Trustee 9 Attn.: Mr. Stephen Johnson United States Department of Justice 10 250 Montgomery Street, Suite 1000 San Francisco, CA 94101 11 James L. Lopes 12 Howard, Rice, Nemerovski, Canady, Falk & Rabkin 13 Three Embarcadero Center, 7th Floor San Francisco, CA 94111 14 Robert J. Moore 15 Milbank, Tweed, Hadley & McCloy LLP 601 South Figueroa Street 16 Los Angeles, CA 900017 17 By U.S. Mail 18 Theresa Lett Pacific Gas & Electric 19 P.O. Box 7442 San Francisco, CA 94120 20 21 ._-_ _ _ _ _ _ _

Paige . Stepad 22 Senior Paralegal for Winston & Strawn LLP 23 24 25 26 27 28 2

Ci11:1403110.1