Case 4:13-cv-00382-RAS-DDB Document 153 Filed 05/04/15 Page 1 of 11 PageID #: 2093 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS SHERMAN DIVISION U.S. COMMODITY FUTURES TRADING COMMISSION, Plaintiff, v. RFF GP, LLC, KGW CAPITAL MANAGEMENT and KEVIN G. WHITE, Defendants, REVELATION FOREX FUND, LP, MERIDIAN PROPANE LP, and W CORPORATE REAL ESTATE, LP d/b/a KGW REAL ESTATE, Relief Defendants. § § § § § § § § § § § § § § § § § § § § CIVIL ACTION NO. 4:13-CV-0382 PETITION NO. 23 RECEIVER’S SIXTH FEE PETITION Pursuant to the Statutory Restraining Order (“SRO”) entered by the Court on July 10, 2013, the Receiver is required to submit periodic fee petitions for authorization to pay fees and expenses of the receivership. Since the Receiver is also serving as the Receiver in the parallel proceeding brought by the Securities and Exchange Commission, Civil Action No. 4:13-CV0383 (the “SEC Case”), this Sixth Quarterly Fee Petition is also being filed in the SEC case. I. FEES AND EXPENSES INCURRED A. Receiver Fees. By this Sixth Quarterly Fee Petition, the Receiver requests authority to pay $4,125 in RECEIVER’S SIXTH QUARTERLY FEE PETITION PAGE 1 Case 4:13-cv-00382-RAS-DDB Document 153 Filed 05/04/15 Page 2 of 11 PageID #: 2094 Receiver fees incurred from October 26, 2014 through April 25, 20151. During this period, the Receiver provided 13.75 hours of service at his discounted hourly rate of $300.002. The valuable services provided by the Receiver during this time period are set forth in the invoices attached hereto as Exhibit A. B. Receiver’s Counsel Fees and Expenses. The law firm of Scheef & Stone, L.L.P. serves as primary counsel for the Receiver. Scheef & Stone submits monthly invoices to the Receiver for the services rendered. By this Petition and pursuant to the SRO, the Receiver requests authority to pay Scheef & Stone, L.L.P. $4,103 in fees from October 26, 2014 through April 25, 2015. The attorneys and paralegals of Scheef & Stone who provided services to the Receiver during this period, their billable rates, and the hours billed are summarized as follows: Attorney/Paralegal Charlene Koonce (Partner) James Stafford (Associate) Will Hester (Paralegal) TOTALS: Hours Billed 2.0 Discounted Billable Rate $300 Total Billed 16.90 $170 $2,873 6.30 $100 $630 25.20 $163* (blended rate) $600 $4,103 Scheef & Stone provided valuable services to the Receiver during the period from October 26, 2014 through April 25, 2015, which are set forth on the invoices attached hereto as Exhibit B. In addition, to assist the receivership estate, Scheef & Stone incurred expenses in the amount of $543.05 for the period from October 26, 2014 through April 25, 2015 as detailed on 1 This Fee Petition does not include fees billed by the Receiver or his law firm Scheef & Stone, LLP for filing and negotiating claims against certain third parties, which are subject to a contingent fee pursuant to the Receiver’s liquidation plan approved by the Court. 2 Mr. Crawford’s regular billing rate for non-receivership matters is $390 per hour. RECEIVER’S SIXTH QUARTERLY FEE PETITION PAGE 2 Case 4:13-cv-00382-RAS-DDB Document 153 Filed 05/04/15 Page 3 of 11 PageID #: 2095 the invoices attached hereto as Exhibit C. Pursuant to the SRO, the Receiver seeks authority to reimburse Scheef & Stone, L.L.P. for the $543.05 in expenses it incurred on behalf of the receivership. C. Receiver’s Accountant Fees and Expenses. The accounting firm of The Alt Key, PLLC serves as the accountant for the Receiver. The Alt Key, PLLC submitted its invoices attached hereto as Exhibit D for the accounting services rendered for the period of August 1, 2014 through April 25, 2015. As set forth in the invoices, for this period the accounting firm of The Alt Key, PLLC charged $9,311 in fees as follows: Accountant/Clerk Hours Billed 39.05 Discounted Billable Rate $220 Leisa Thompson 2.25 $120 $270 K. Chamberlain 4.50 $100 $450 TOTALS: 45.80 $203* (blended rate) Steve Parker Total Billed $8,591 $9,311 Pursuant to the SRO, the Receiver requests authority to pay the total fees and expenses of $9,311 charged by The Alt Key, PLLC. The accounting firm of The Alt Key, PLLC provided valuable accounting services to the Receiver, which services are described on the invoice attached hereto as Exhibit D. In particular, most of the accounting fees were incurred in assisting the Receiver in tracing the disposition of investor funds and preparing corrected K-1’s to issue to the investors. Based on the foregoing, the Receiver believes the services rendered to the receivership by the Receiver, the Receiver’s law firm Scheef & Stone, and the Receiver’s accountants The Alt Key, PLLC were valuable and that the rates charged to the receivership were fair and reasonable. RECEIVER’S SIXTH QUARTERLY FEE PETITION PAGE 3 Case 4:13-cv-00382-RAS-DDB Document 153 Filed 05/04/15 Page 4 of 11 PageID #: 2096 Moreover, the Receiver’s law firm incurred expenses for the receivership that were reasonable and necessary. II. LEGAL DISCUSSION OF GUIDELINES FOR PAYMENT OF RECEIVERSHIP FEES AND EXPENSES In reviewing the total fees of the Receiver, the Receiver’s counsel, and the Receiver’s accountants incurred, divided by the hours worked, the lodestar average rate per hour is $207. In accordance with the law governing calculation of the lodestar rate, the lodestar rate for which approval is sought in this case is reasonable and does not merit any adjustment. The “lodestar” method of evaluating the reasonableness of fees, which has been expressly approved by the Supreme Court, requires the court to look into the prevailing market rates in the relevant community and compare the prevalent rates with the average rate charged in the matter in issue. Perdue v. Kenny, 130 S.Ct. 1662, 1673 (2010). The lodestar method also includes most of the relevant factors constituting a “reasonable” fee, but does not rely expressly require the “subjective” Johnson factor analysis.3 Id. The Court calculates the lodestar by determining the number of hours reasonably expended by an appropriate hourly rate in the community.4 Louisiana Power & Light Co. v. Kellstrom, 50 F.3d 319, 324 (5th Cir. 1995). In evaluating whether requested fees are reasonable, the court may use its own expertise and judgment to independently assess the value of an attorney’s services. Davis v. Bd. Of Sch. Comm’rs of Mobile County, 526 F.2d 865, 868 (5th Cir. 1976). The Court also looks for evidence of “billing judgment,” or the attorney or receiver’s decision to discount or write off time that was unproductive or duplicative. Saizan v. Delta Concrete Prods. Co., 448 F.3d 795, 799 (5th Cir. 2006). The amount of the award, and any 3 These Johnson factors are nevertheless addressed herein. See infra. 4 The movant bears the burden of proving that the compensation requested is reasonable, and satisfaction of this burden requires that the movant present records from which the court may determine the nature of the work done, the need for it, and the amount of time reasonably required. Louisiana Power, 50 F.3d at 324. RECEIVER’S SIXTH QUARTERLY FEE PETITION PAGE 4 Case 4:13-cv-00382-RAS-DDB Document 153 Filed 05/04/15 Page 5 of 11 PageID #: 2097 reduction of the requested fee award, is within the trial court’s discretion. See, e.g., United States Football league v. National Football League, 887 F.2d 408, 415 (2d Cir. 1989). Additional considerations are also relevant in the context of an equity receivership. First, the agreement or opposition of the Commission to the fee application is entitled to great weight. See, e.g., SEC v. Fifth Ave. Coach Lines, Inc., 364 F.Supp. 1220, 1222 (S.D.N.Y. 1973). Further, given the public service nature of equity receiverships, courts also consider the amounts recovered or other results obtained by the receiver in determining what constitutes a “reasonable fee.” SEC v. Goren, 272 F.Supp.2d 202, 207 (E.D.N.Y. 003). Additionally, examination of reasonableness and necessity should take into account all circumstances surrounding the receivership. See, SEC v. W.L. Moody & Co., Bankers (Unincorporated), 374 F. Supp. 465, 480 (S.D. Tex. 1974), aff’d, SEC v. W.L. Moody & Co., 519 F.2d 1087 (5th Cir. 1975). The complexity and difficulty associated with the receivership are highly relevant factors in determining the reasonableness of professional fees. See, SEC v. Fifth Ave. Coach Lines, Inc., 364 F. Supp. 1220, 1222 (S.D.N.Y. 1973) (awarding interim fees and expenses to law firm for role in receivership and noting that it involved wide variety of complex legal matters requiring the time, competence, and diverse resources of a law firm of high caliber). Further, Courts examine the credentials, experience, reputation, and other professional qualities required to carry out a court’s orders when assessing the reasonableness of the rates charged for services to a receivership. See, W.L. Moody & Co., 374 F. Supp. at 481 (holding that a court should give “considerable weight” to “a receiver’s abilities, as required by the tasks of the receivership”); see also, Fifth Ave. Coach Lines, Inc., 364 F. Supp. at 1222 (fees awarded in full because they were based on law firm’s usual hourly rate and supported by meticulous records). The Receiver submitted detailed descriptions of the matters on which services were expended, the number of hours billed by each professional, the rates charged by each, and the RECEIVER’S SIXTH QUARTERLY FEE PETITION PAGE 5 Case 4:13-cv-00382-RAS-DDB Document 153 Filed 05/04/15 Page 6 of 11 PageID #: 2098 lodestar calculation for the fees submitted in this petition. Further, the Receiver’s invoices and this petition demonstrate that billing judgment was exercised in the reduction of the standard rates charged by the Receiver and his firm5, in staffing the work performed efficiently, and in writing off time where necessary. Finally, the Receiver requests that the Court judicially notice the much higher lodestar and hourly rates approved in other receiverships in Texas.6 The request for approval of the disbursements is also consistent with the “Johnson factors” set forth by the Fifth Circuit Court of Appeals in Johnson v. Georgia Highway Express, Inc., 488 F.2d 714 (5th Cir. 1974). Based on the lodestar calculation and the Johnson factors discussed above, the Receiver believes that the fees submitted are appropriate, just, and reasonable. A. The Time and Labor Required. The Receiver respectfully directs the Court’s attention to the foregoing summary schedule of unpaid fees and expenses, which identifies the total number of hours billed by the Receiver, the Receiver’s attorneys and accountants (84.75 hours) from October 26, 2014 through April 25, 2015. B. The Novelty and Difficulty of the Questions. Federal equity receiverships require extensive experience in order to act swiftly and efficiently in securing assets, obtaining documents and data from computers to find additional assets, and to communicate with investors and law enforcement agencies. As set forth in the status reports filed with the Court and the 5 The Receiver’s standard hourly rate is $390, but it is discounted for receivership work to $300. Likewise, the partners at Scheef & Stone, LLP and the personnel of The Alt Key PLLC discount their standard hourly rates for receivership work. 6 See, for example, Securities and Exchange Commission v. Correll; Case No. 4:05-CV-472, in the United States District Court for the Eastern District of Texas, Sherman Division (approving Receiver fees of $400 per hour and lead counsel fees of $585 per hour); SEC v. Amerifirst Funding, Inc., et al., Cause No. 3:07-CV-01188, Docket No. 117, in the United States District Court for the Northern District of Texas; Receiver’s counsel’s rates, discounted by 10–20% is $420 per hour; SEC v. W Financial Group, LLC, et al., Cause No. 3:08-CV-0499-N, Docket No. 65, in the United States District Court for the Northern District of Texas; Receiver’s counsel’s rate is $510 per hour, and $165 per hour for a law clerk; and CFTC v. Pousa; Case No. 1:12-cv-00862 in the United States District Court for the Western District of Texas, Austin Division (approving Receiver fees in excess of $600 per hour). RECEIVER’S SIXTH QUARTERLY FEE PETITION PAGE 6 Case 4:13-cv-00382-RAS-DDB Document 153 Filed 05/04/15 Page 7 of 11 PageID #: 2099 detailed invoices attached hereto the Receiver and his personnel continued to implement the Receiver’s liquidation and distribution plan, and responded to questions from the investors. C. The Skill Requisite to Perform the Service. The Receiver believes the services performed in this case to date required individuals possessing considerable experience in the administration of receiverships, claims processes, distribution plans, asset seizure, collection and litigation. The Receiver, Scheef & Stone, L.L.P., and The Alt Key PLLC, for which disbursement approval is sought, have considerable experience in such areas. D. The Preclusion of Other Employment Due to Acceptance of the Case. Neither the Receiver, Scheef & Stone, LLP, nor The Alt Key PLLC declined any representation solely because of their services in this case. E. The Customary Fee. The hourly rates sought herein for the Receiver and the Receiver’s attorneys and accountants are substantially lower than the rates charged by other practitioners of similar experience levels in Texas. Indeed the per hour rates charged by the Receiver’s counsel whose fees are included herein (ranging between $170 – $300 charged for attorneys) are $100 to $200 per hour lower than the rates currently charged on other receiverships pending in Texas.7 The lodestar rate of $207 per hour also demonstrates that when appropriate the Receiver is having work performed by less expensive attorneys or legal assistants. F. Whether the Fee is Fixed or Contingent. The Receiver’s fees and his counsel’s fees are fixed insofar as monies exist by way of Receivership Assets from which to pay such fees, but payment of the fees and expenses is subject to approval by the Court. 7 See footnote 6, supra. RECEIVER’S SIXTH QUARTERLY FEE PETITION PAGE 7 Case 4:13-cv-00382-RAS-DDB Document 153 Filed 05/04/15 Page 8 of 11 PageID #: 2100 G. Time Limitations Imposed by the Client or Other Circumstances. There were no unusual time constraints placed on the Receiver, the Receiver’s attorneys, or accountants during the months for which compensation is sought. H. The Amount Involved and the Results Obtained. The fees for which payment is sought were for work summarized previously. The Receiver’s attorneys and accountants contributed significantly to the Receiver’s recovery of monies, administration of the claims process, and the first interim distribution to the investors. The receivership account currently has a balance in excess of $190,000, which monies were obtained directly through the efforts of the Receiver and the personnel he retained. I. The Experience, Reputation and Ability of the Attorneys. Scheef & Stone, L.L.P., the Receiver’s primary counsel, include numerous attorneys who specialize in representation of equity receivers in federal securities or commodities enforcement cases, and have done so for more than ten years. The reputation of Scheef & Stone, L.L.P. is recognized and respected in these fields. Mr. Crawford has served as a receiver in more than 12 federal court cases brought by either the Securities and Exchange Commission or the U.S. Commodity Futures Association, with Scheef & Stone, L.L.P. as Mr. Crawford’s counsel. J. The Undesirability of the Case. The representation of the Receiver incident to this case has not been undesirable. K. The Nature and Length of the Professional Relationship with the Client. Scheef & Stone, L.L.P. has represented the Receiver in numerous prior receiverships. L. Awards in Similar Cases. The Receiver believes the fees requested in this case for his counsel are less than or equal to those which have been awarded in similar cases in federal courts in Texas. RECEIVER’S SIXTH QUARTERLY FEE PETITION PAGE 8 Case 4:13-cv-00382-RAS-DDB Document 153 Filed 05/04/15 Page 9 of 11 PageID #: 2101 III. REQUEST FOR RELEASE OF HELD BACK FEES AND EXPENSES The Receivership Order entered in the SEC Case required the Receiver to hold back 20% of fees and expenses until the conclusion of the receivership. The Statutory Restraining Order entered by the Court in this case brought by the CFTC does not require any holdback of fees and expenses. To date, pursuant to the Receivership Order from the inception of the case in July, 2013 the Receiver has held back 20% of the fees and expenses incurred in the receivership,8 which total as follows: Receiver fees: $18,408.009 Receiver’s attorneys’ fees: $40,567.8010 Receiver’s attorneys’ expenses: $5,680.1111 Receiver’s accounting fees and expenses: $8,967.3812 As set forth in the Receiver’s Sixth Status Report filed with the Court, the receivership is essentially finished except for the pursuit of claims against FXCM. The Receiver fees and attorneys’ fees for pursuit of those claims are being paid on a contingent fee basis. Moreover, in recognition that the receivership is near completion, other than pursuit of the claims against FXCM, the Receiver is contemporaneously requesting the Court for authority to make a third 8 The invoices for the fees and expenses incurred were previously submitted to the Court and the parties without objection in the Receiver’s first five fee applications. 9 $7,365 was withheld from the 1st fee petition; $6,120 was withheld from the 2nd fee petition; $2,760 was withheld from the 3rd fee petition; $1,095 was withheld from the 4th fee petition; and $1,068 was withheld from the 5th fee petition. 10 $24,732.50 was withheld from the 1st fee petition; $8,194.60 was withheld from the 2nd fee petition; $5,672.50 was withheld from the 3rd fee petition; $1,455.95 was withheld from the 4th fee petition; and $512.25 was withheld from the 5th fee petition. 11 $3,163.38 was withheld from the 1st fee petition; $1,519.61 was withheld from the 2nd fee petition; $275.52 was withheld from the 3rd fee petition; $417.90 was withheld from the 4th fee petition; and $303.70 was withheld from the 5th fee petition. 12 $3,582.62 was withheld from the 1st fee petition; $387.20 was withheld from the 2nd fee petition; $3,320.59 was withheld from the 3rd fee petition; $1,495.37 was withheld from the 4th fee petition; and $181.60 was withheld from the 5th fee petition. RECEIVER’S SIXTH QUARTERLY FEE PETITION PAGE 9 Case 4:13-cv-00382-RAS-DDB Document 153 Filed 05/04/15 Page 10 of 11 PageID #: 2102 interim distribution to approved claimants of nearly all of the balance of unencumbered funds in the receivership account. Accordingly, in light of the foregoing the Receiver requests the Court to allow payment of the held back funds. The Receiver conferred with the Securities and Exchange Commission regarding the release of the held back funds and the Securities and Exchange Commission does not oppose such relief. IV. CONCLUSION In conclusion, in accordance with the Receivership Order and SEC billing guidelines, the Receiver represents that: (i) the fees and expenses included in this Petition were incurred in the best interests of the Receivership Estate; and, (ii) with the exception of the SEC Billing Instructions and the contingent fee agreement with Scheef & Stone, LLP approved as part of the Receiver’s liquidation plan, the Receiver has not entered into any agreement, written or oral, express or implied, with any person or entity concerning the amount of compensation paid or to be paid from the Receivership Estates, or any sharing thereof. Respectfully submitted May 4, 2015. RECEIVER KELLY M. CRAWFORD /s/ Kelly M. Crawford Kelly M. Crawford, Receiver State Bar No. 05030700 Scheef & Stone, LLP 500 N. Akard Street, Suite 2700 Dallas, Texas 75201 (214) 706–4200 – Telephone (214) 706–4242 – Facsimile RECEIVER’S SIXTH QUARTERLY FEE PETITION PAGE 10 Case 4:13-cv-00382-RAS-DDB Document 153 Filed 05/04/15 Page 11 of 11 PageID #: 2103 CERTIFICATE OF CONFERENCE The undersigned certifies that this Motion and true and correct copies of the invoices that are exhibits to this Motion were provided to Harry Wedewer, Esq. of the Plaintiff U.S. Commodity Futures Trading Commission and to Janie Frank, Esq. of the Plaintiff Securities and Exchange Commission for review on April 29, 2015. On April 30, 2015 Mr. Wedewer indicated the U.S. Commodity Futures Trading Commission is unopposed to the relief sought. On May 4, 2015 Ms. Frank indicated the Securities and Exchange Commission is unopposed to the relief sought. /s/ Kelly M. Crawford KELLY M. CRAWFORD CERTIFICATE OF SERVICE The undersigned hereby certifies that on May 4, 2015 I electronically filed the foregoing document with the clerk of the U.S. District Court, Eastern District of Texas, using the electronic case filing system of the court. The electronic case filing system sent a “Notice of Electronic Filing” to the following attorneys of record, and a copy was mailed to the individual pro se defendant: Harry E. Wedewer John Einstman U.S. Commodity Futures Trading Commission Three Lafayette Centre 1155 21st Street, N.W. Washington, D.C. 20581 Counsel for Plaintiff Kevin G. White #22043-078 USP Beaumont U.S. Penitentiary P.O. Box 26030 Beaumont, TX 77720 Defendant, Pro Se /s/ Kelly M. Crawford KELLY M. CRAWFORD RECEIVER’S SIXTH QUARTERLY FEE PETITION PAGE 11 Case 4:13-cv-00382-RAS-DDB Document 153-1 Filed 05/04/15 Page 1 of 6 PageID #: 2104 Scheef & Stone, L. L. P. 500 N. Akard, Suite 2700 Dallas, Texas 75201 (214) 706-4200 INVOICE White Receivership Account No: Invoice No: 11/25/2014 6959-1 01 831175 Matter 101 -Receiver Hours 10/27/2014 10/30/2014 11/03/2014 KMC KMC KMC KMC 11/05/2014 KMC 11/19/2014 KMC 11/25/2014 KMC Conference with J. Stafford regarding issuing replacement check to investor for distribution and procedure to follow; communicate with C. Koonce regarding need for financial statement from L. Aland, P.C. to evaluate settlement offer. 0.25 Communicate with H. Wedewer and J. Frank and provide update regarding status of receivership and intent to file petition seeking permission to proceed with arbitration against FXCM; revise and finalize petitions seeking permission to file arbitration and proposed orders and have same filed with the court; communicate with K. White regarding same. 1.50 Prepare fraudulent conveyance Complaint to file against Linda Aland, P.C.; communicate with C. Koonce regarding same in final attempt to settle claim. Prepare and file notice of no objection in SEC case and CFTC case to petition seeking approval of settlement agreement with SHARE ministries. 2.00 0.25 Conference with W. Hester regarding call from K. White seeking real estate files; conference with J. Stafford regarding contacting Nita Fanning about depositing distribution check. 0.25 Review docket for objections to petitions; have notice of no objection prepared; review and finalize for filing with the Court. 0.25 For Current Services Rendered 4.50 Recapitulation Timekeeper Kelly M. Crawford Hours 4.50 Hourly Rate $300.00 1,350.00 Case 4:13-cv-00382-RAS-DDB Document 153-1 Filed 05/04/15 Page 2 of 6 PageID #: 2105 Scheef & Stone, L.l.P. 500 N. Akard, Suite 2700 Dallas, Texas 75201 (214) 706-4200 INVOICE White Receivership Account No: Invoice No: 12/22/2014 6959-101 832859 Matter 101 - Receiver Hours 12/02/2014 12/10/2014 KMC KMC Have Notices of No Objection prepared and filed with respect to the petitions seeking approval of the settlement agreement with Linda Aland. 0.25 Have settlement checks from Share and Aland deposited into receivership account. 0.25 For Current Services Rendered 0.50 150.00 Recapitulation Timekeeper Kelly M. Crawford Total Current Services and Expenses TERMS: DUE AND PAYABLE UPON RECEIPT Hours 0.50 Hourly Rate $300.00 Total $150.00 150.00 Case 4:13-cv-00382-RAS-DDB Document 153-1 Filed 05/04/15 Page 3 of 6 PageID #: 2106 Scheef & Stone, L. L. P. 500 N. Akard, Suite 2700 Dallas, Texas 75201 (214) 706-4200 INVOICE White Receivership Account No: Invoice No: 02/25/2015 6959-101 837 490 Matter 101 -Receiver Hours 02/04/2015 KMC Telephone conference with FBI agent to respond to questions in anticipation of White sentencing hearing. 0.25 For Current Services Rendered 0.25 75.00 Recapitulation Timekeeper Kelly M. Crawford Total Current Services and Expenses TERMS: DUE AND PAYABLE UPON RECEIPT Hours 0.25 Hourly Rate $300.00 Total $75.00 75.00 Case 4:13-cv-00382-RAS-DDB Document 153-1 Filed 05/04/15 Page 4 of 6 PageID #: 2107 Scheef & Stone, L. L. P. 500 N. Akard, Suite 2700 Dallas, Texas 75201 (214) 706-4200 INVOICE White Receivership Account No: Invoice No: 03/25/2015 6959-101 839862 Matter 101 - Receiver Hours 02/26/2015 KMC 03/02/2015 KMC 03/09/2015 KMC 03/25/2015 KMC Deposit settlement check; prepare letter to investors regarding sentencing of K. White and status of receivership; finalize letters and have mailed out; check on status of White computer as requested by K. White. 1.00 Conference with W. Hester regarding status of computer that Kevin White requested; respond to K. White regarding same. 0.25 Review transcript of sentencing hearing of K. White; communicate with White regarding turnover of information from computer. 0.25 Review bank account to determine if Share Ministries is in default of settlement agreement; communicate with C. Koonce regarding default. 0.25 For Current Services Rendered 1.75 525.00 Recapitulation Timekeeper Kelly M. Crawford Total Current Services and Expenses TERMS: DUE AND PAYABLE UPON RECEIPT Hours 1.75 Hourly Rate $300.00 Total $525.00 525.00 Case 4:13-cv-00382-RAS-DDB Document 153-1 Filed 05/04/15 Page 5 of 6 PageID #: 2108 Scheef & Stone, L.L.P. 500 N. Akard, Suite 2700 Dallas, Texas 75201 (214) 706-4200 INVOICE White Receivership Account No: Invoice No: Matter 101 -Receiver Hours 03/30/2015 03/31/2015 04/03/2015 04/06/2015 04/10/2015 04/20/2015 04/21/2015 KMC KMC KMC KMC KMC KMC KMC Receive and review final judgment entered in CFTC case and final interlocutory judgment entered in SEC case; communicate with CFTC and SEC counsel regarding status of receivership. 0.25 Conference with J. Stafford regarding preparation of tax return for receivership and accounting for settlement payment from Weaver & Tidwell; review proposed email to investor regarding change of account for qualified fund. 0.25 Receive final settlement payment from Share Ministries; have deposited into receivership account and execute Mutual Release. 0.25 Review tax return for partnership and K-1's to be delivered to investors and make revisions to same; communicate with J. Frank regarding distribution to investors and payment of heldback fees and and expenses. 0.75 Telephone conference with accountant regarding issuance of K-1's to investors and recaptured income shown on K-1's; prepare letter to investors regarding same; conference with J. Stafford regarding same; conference with accountant regarding withholding obligation for foreign investor regarding taxes due. 1.25 Communicate with J. Frank regarding McCraw settlement and how it affects closing of receivership. 0.25 Conference with J. Frank regarding SEC action against McCraw and potential for recovery from McCraw of restitution judgment and how that factors into closing receivership; review SEC interlocutory judgment against McCraw. 0.50 1.75 04/23/2015 KMC Prepare draft of Receiver's Sixth Status Report. 04/24/2015 KMC Finalize and file Receiver's Sixth Status Report in SEC action; prepare 04/25/2015 6959-101 839859 Case 4:13-cv-00382-RAS-DDB Document 153-1 Filed 05/04/15 Page 6 of 6 PageID #: 2109 White Receivership Account No: Invoice No: 04/25/2015 6959-101 839859 Matter 101 - Receiver Hours 1.50 and file Receiver's Sixth Status Report in CFTC case. 6.75 For Current Services Rendered 2,025.00 Recapitulation Timekeeper Kelly M. Crawford Total Current Services and Expenses TERMS: DUE AND PAYABLE UPON RECEIPT Hours 6.75 Hourly Rate $300.00 Total $2,025.00 2,025.00 Case 4:13-cv-00382-RAS-DDB Document 153-2 Filed 05/04/15 Page 1 of 9 PageID #: 2110 Scheef & Stone, L.L.P. 500 N. Akard, Suite 2700 Dallas, Texas 75201 (214) 706-4200 INVOICE White Receivership Account No: Invoice No: Matter 102 - Representation of Receiver Hours 10/27/2014 10/28/2014 10/29/2014 10/30/2014 JSS JSS JSS CCK WLH 11/06/2014 WLH CCK 11/14/2014 11/17/2014 11/19/2014 CCK CCK WLH Review and respond to e-mail from Receiver regarding re-issuance of check to investor Nita Fanning; e-mail to investor regarding same. 0.30 Phone conference and e-mail to investor Nita Fanning regarding re-issuance of check; e-mail to Receiver regarding same. 0.10 Receipt and review e-mail from Receiver regarding correspondence to investor Nita Fanning; draft e-mail to Ms. Fanning regarding same. 0.30 Review and revise petition and order to authorize Receiver to file arbitration demand based on Revelation's claims against FXCM Review email from K Crawford regarding Kevin White's request for documents and computer files pertaining to real estate analysis; review documents taken from White's office in effort to locate real estate analysis; email K Crawford to advise the documents were not in the boxes from White's office. 0.30 0.50 Review and respond to emails (x3) from Kevin White inquiring if the KGW Real Estate files can be put on disk and provided to him- advise he would need to ask K Crawford. Forward proposed settlement agreement and release to counsel for Linda Aland 0.20 Review and revise motion to approve Aland settlement and review notice of no objection re motion to authorize arbitration against FXCM 0.30 Confer w/all parties re motion to approve Aland settlement and conform conference on motion re same 0.20 0.20 Email correspondence and conference with K Crawford to request documents Kevin Whites has requested; review boxes of documents in attempt to locate documents requested by Kevin White; email correspondence with Kevin White to advise him the documents he I 11/25/2014 6959-102 831512 Case 4:13-cv-00382-RAS-DDB Document 153-2 Filed 05/04/15 Page 2 of 9 PageID #: 2111 White Receivership Account No: Invoice No: 11/25/2014 6959-1 02 831512 Matter 102 - Representation of Receiver Hours 11/20/2014 11/24/2014 JSS JSS requested could not be found in the documents still in the possession of the Receiver. 0.50 Receipt and review of e-mail from Receiver regarding letter to investor Nita Fanning about payment; draft Letter to Nita Fanning regarding un-cashed check from second distribution; e-mail communications to Receiver regarding same. 0.50 Receipt and response to e-mail communications from Receiver regarding request for information form T. Kohn relating to deposit of investor N. Fanning's check; phone conference with and e-mail to Mr. Kohn regarding same. 0.80 For Current Services Rendered 4.20 760.00 Recapitulation Timekeeper Charlene C. Koonce Will Hester James Stafford Total Current Services and Expenses TERMS: DUE AND PAYABLE UPON RECEIPT Hours 1.00 1.20 2.00 Hourly Rate $300.00 100.00 170.00 Total $300.00 120.00 340.00 760.00 Case 4:13-cv-00382-RAS-DDB Document 153-2 Filed 05/04/15 Page 3 of 9 PageID #: 2112 Scheef & Stone, L. L. P. 500 N. Akard, Suite 2700 Dallas, Texas 75201 (214) 706-4200 INVOICE White Receivership Account No: Invoice No: 12/22/2014 6959-1 02 832860 Matter 102 - Representation of Receiver Hours 12/01/2014 12/10/2014 CCK WLH Respond to email from Aland's attorney re status of getting settlement approved, and confirm 14 days has not yet run 0.20 Review Order granting motion to approve settlement agreement with Linda Aland and docket reoccurring payments per the settlement agreement; email K Crawford to confirm Aland's December payment had been made due to the fact it occurs before the Order was granted and entered. 0.25 For Current SeNices Rendered 0.45 Recapitulation Timekeeper Charlene C. Koonce Will Hester Hours 0.20 0.25 Hourly Rate $300.00 100.00 Total $60.00 25.00 85.00 Case 4:13-cv-00382-RAS-DDB Document 153-2 Filed 05/04/15 Page 4 of 9 PageID #: 2113 Scheef & Stone, L. L. P. 500 N. Akard, Suite 2700 Dallas, Texas 75201 (214) 706-4200 INVOICE White Receivership Account No: Invoice No: 01/25/2015 6959-102 835396 Matter 102 - Representation of Receiver Hours 12/23/2014 01/05/2015 01/08/2015 01/14/2015 JSS CCK CCK WLH Phone conference and e-mail to Receivership investor regarding status update of litigation. 1.10 Telephone conference with counsel for Ms. Aland re concerns about settlement agreement being posted on the internet, approval of settlement agreement, and date for next payment; forward order and info resettlement agreement to counsel. 0.30 Telephone conference with Ed Tomko re request that KMC provide letter or testify re White's cooperation at White's sentencing; confer w/KMC re same and further call with Tomko re same 0.30 Teleconference with Mary in Judge Crone's Court at the USDC Southern District of Texas regarding letter received from Kelly Crawford dated January 9, 2015 advising of the dealings with Mr. White and seizure of assets. 0.25 For Current Services Rendered 1.95 392.00 Recapitulation Timekeeper Charlene C. Koonce Will Hester James Stafford Total Current Services and Expenses Hours 0.60 0.25 1.10 Hourly Rate $300.00 100.00 170.00 Total $180.00 25.00 187.00 392.00 Case 4:13-cv-00382-RAS-DDB Document 153-2 Filed 05/04/15 Page 5 of 9 PageID #: 2114 Scheef & Stone, L.L.P. 500 N. Akard, Suite 2700 Dallas, Texas 75201 (214) 706-4200 INVOICE White Receivership Account No: Invoice No: 02/25/2015 6959-102 837491 Matter 102 - Representation of Receiver Hours 02/04/2015 02/12/2015 02/13/2015 02/19/2015 WLH JSS JSS WLH Review and respond to emails (x2) from K Crawford regarding contact with Judge Crone's Court in the Southern District of Texas regarding the referral letter sent to the Court. 0.25 Inter-office conference with Receiver regarding status of litigation and settlements and upcoming tax deadlines; attention to call from Investor P. Smith regarding litigation status; e-mail to accountant regarding 1099 received and tax deadlines. 1.10 Phone conference with accountant regarding preparation of documents to file return. 0.30 Review email from K Crawford regarding the sentencing hearing for Kevin White; review documents filed in the USDC Eastern District regarding White's sentencing and forward sentencing document to K Crawford via email; review email from K Crawford requesting a transcript from the hearing; contact the Court Coordinator Patricia Leger regarding a transcript from the hearing advised I would need to contact the Court Reporter; teleconference and email correspondence with Tonya Jackson, Court Reporter for Judge Crone's court and request a copy of the sentencing hearing transcript- two week turnaround; review email from D Lambert to Jerrod Cross regarding an invoice from CT Corporation the Receiver will not be paying. 0.75 For Current Services Rendered 2.40 Recapitulation Timekeeper Will Hester James Stafford Hours 1.00 1.40 Hourly Rate $100.00 170.00 Total $100.00 238.00 338.00 Case 4:13-cv-00382-RAS-DDB Document 153-2 Filed 05/04/15 Page 6 of 9 PageID #: 2115 Scheef & Stone, L.L.P. 500 N. Akard, Suite 2700 Dallas, Texas 75201 (214) 706-4200 INVOICE White Receivership Account No: Invoice No: Matter 102 - Representation of Receiver Hours 02/26/2015 02/27/2015 03/02/2015 03/04/2015 03/06/2015 03/09/2015 WLH WLH WLH JSS WLH JSS WLH Review email correspondence (x2) from Tonya Jackson at the USDC Eastern District - Beaumont regarding an invoice for the sentencing hearing transcript. 0.25 Review email from K Crawford requesting review of voice message from Jerrod Cross with CT Corp and contact Cross to advise him Meridian Propane is no longer in business and the Receiver had not authorized the service provided by CT Corporation; teleconference with Jerrod Cross regarding Meridian Propane and advise that the Receiver will not pay the invoice for registered agent service for Meridian Propane and Meridian is no longer in business. 0.30 Conference with K Crawford regarding Kevin White's request for personal files located on the hard drive of the desktop taken from White's office; review files on desktop hard drive for the purpose of identifying personal files and documents. 1.50 Review and compile 2014 banking records in preparation for tax filings; e-mail to accountant regarding same. 0.30 Review email from Tonya Jackson with the USDC Eastern District of Texas forwarding the transcript from White's sentencing hearing; review transcript. 0.30 Attention to voicemail from investor regarding update letter sent by Receiver; e-mail to accountant regarding investor tax matters. Create disk containing personal files from White's desktop removed from the KGW office; email K Crawford to advise that Kevin White's personal files have been save to a disk and ready to be sent forward to White; review email from K Crawford verifying address to send White the disk; transmit the disk via USPS first class mail; review email from K Crawford to make note of date White is to report to the Bastrop facility for incarceration and the need to revise White's contact information; research 0.40 03/25/2015 6959-102 839863 Case 4:13-cv-00382-RAS-DDB Document 153-2 Filed 05/04/15 Page 7 of 9 PageID #: 2116 White Receivership Account No: Invoice No: 03/25/2015 6959-102 839863 Matter 102 - Representation of Receiver Hours 03/16/2015 03/18/2015 JSS JSS WLH using the bop.gov website to verify the contact information for the Federal Corrections Institution in Bastrop and White's assigned inmate number. 0.50 Attention to investor request to direct future Receiver allotments into newly created accounts; e-mail to accountant regarding investor K-1 s; confer with Receiver regarding same, including research regarding transfer of fund and impact on assignment and client engagement; draft e-mail to Receiver regarding same. 1.20 Attention to e-mail from investor regarding status of receivership and litigation; phone conference with investor regarding potential closure of account; e-mail to Receiver in light of same; e-mail and phone call to accountant regarding information needed for K-1 processing for investors. Review email from investor Henry Brenner regarding further recovery of funds from Revelation Forex Fund; review email from J Stafford stating he will respond to Brenner; review email from J Stafford providing Wilhoit S.A. change of address. 0.70 0.25 03/19/2015 JSS JSS Receipt and response to e-mail from accountant regarding investor K1 s. Follow-up phone conference with investor regarding distribution account. 0.10 0.20 03/25/2015 JSS Review and respond to e-mail from investor regarding transfer of accounts relating to receivership. 0.20 For Current Services Rendered 6.20 Recapitulation Timekeeper Will Hester James Stafford Hours 3.10 3.10 Hourly Rate $100.00 170.00 Total $310.00 527.00 837.00 Case 4:13-cv-00382-RAS-DDB Document 153-2 Filed 05/04/15 Page 8 of 9 PageID #: 2117 Scheef & Stone, L.L.P. 500 N. Akard, Suite 2700 Dallas, Texas 75201 (214) 706-4200 INVOICE White Receivership Account No: Invoice No: Matter 102 - Representation of Receiver Hours 03/27/2015 03/30/2015 03/31/2015 04/01/2015 04/02/2015 04/06/2015 JSS WLH JSS JSS JSS JSS CCK 04/13/2015 JSS JSS Review e-mail from accountant regarding analysis of receivership tax status; review and discuss content of correspondence to investors regarding K-1 s; receipt and response to e-mail from investor; contact Legacy bank regarding tax information requested by accountant. 0.60 Review Consent Order and docket payment date and due date for annual distribution report. 0.25 Phone call to Legacy Bank regarding request for documents needed to process receivership tax obligations; inter-office conference with and e-mail to Receiver regarding communications from investors relating to future distributions, K1 sand accounting issues relating to taxes; phone conference (x2) with and e-mails to accountant regarding same. 1.80 Review e-mail from accountant regarding potential legal issues of claims as it relates to recovery and expenditures. 0.50 Communications with Legacy bank regarding statements needed to finalize K-1s for investors; phone conference with accountant regarding issues related to K1 processing. 0.70 Review and analysis of K-1's and associated documents received from accountant. Email exchange with Share ministries re receipt of check and request for execution of final Mutual Release Phone conference with accountant regarding edits and revisions to K1; revise draft letter to investors regarding same; receipt and review revised K1 s; confer with Receiver in light of same; finalize and send K1 s to investors. Attention to e-mail from investor regarding receipt of 2014 K1 and request for2013K1. 0.20 0.20 4.20 0.40 04/25/2015 6959-102 839865 Case 4:13-cv-00382-RAS-DDB Document 153-2 Filed 05/04/15 Page 9 of 9 PageID #: 2118 White Receivership Account No: Invoice No: 04/25/2015 6959-102 839865 Matter 102 - Representation of Receiver Hours 04/15/2015 04/16/2015 JSS JSS WLH Attention to e-mail from investors regarding receipt of 2014 K1 and request for 2013 K1; e-mail correspondence to accountant regarding same; attention to request from investor regarding status of the case. Attention to e-mail from investor regading 2014 K-1 and request for 2013 K1. Review Order regarding status reports to be filed by the Receiver and docket. 0.70 0.20 0.25 10.00 For Current Services Rendered 1,691.00 Recapitulation Timekeeper Charlene C. Koonce Will Hester James Stafford Total Current Services and Expenses TERMS: DUE AND PAYABLE UPON RECEIPT Hours 0.20 0.50 9.30 Hourly Rate $300.00 100.00 170.00 Total $60.00 50.00 1,581.00 1,691.00 Case 4:13-cv-00382-RAS-DDB Document 153-3 Filed 05/04/15 Page 1 of 2 PageID #: 2119 Scheef & Stone, L. L. P. 500 N. Akard, Suite 2700 Dallas, Texas 75201 (214) 706-4200 INVOICE White Receivership Account No: Invoice No: 11/25/2014 6959-103 831177 Matter 103 - Receivership Expenses 10/31/2014 10/31/2014 10/31/2014 10/31/2014 11/12/2014 11/14/2014 11/14/2014 11/20/2014 11/20/2014 11/20/2014 Computerized legal research (1 013) Thomson Reuters -West 2 Overnight Deliveiesy (1) Federal Express Postage Photocopies Postage Postage Overnight Delivery (1) Federal Express inv # 2-858-06019 to The Honorable DOn D Bush Postage Photocopies Overnight Delivery (1) Federal Express inv # 2-858-06019 to The Honorable Don D Bush 213.48 27.33 0.90 8.80 2.03 0.69 Total Expenses 292.15 Total Current Services and Expenses 292.15 TERMS: DUE AND PAYABLE UPON RECEIPT 13.90 7.09 6.20 11.73 J i Case 4:13-cv-00382-RAS-DDB Document 153-3 Filed 05/04/15 Page 2 of 2 PageID #: 2120 Scheef & Stone, L. L. P. 500 N. Akard, Suite 2700 Dallas, Texas 75201 (214) 706-4200 INVOICE White Receivership Account No: Invoice No: 04/25/2015 6959-103 839861 Matter 103 - Receivership Expenses 02/26/2015 04/06/2015 04/13/2015 04/13/2015 Document Services (9999) Tonya Jackson Photocopies Postage Photocopies 161.50 37.40 18.00 34.00 Total Expenses 250.90 Total Current Services and Expenses 250.90 $9,790.60 Previous Balance $10,041.50 Balance Due 0-30 0.00 31-60 0.00 Past Due Amounts 61-90 91-120 0.00 0.00 TERMS: DUE AND PAYABLE UPON RECEIPT 121-180 292.15 181+ 9,498.45 Case 4:13-cv-00382-RAS-DDB Document 153-4 Filed 05/04/15 Page 1 of 6 PageID #: 2121 Aft A PROFESSIONAL ACCOUNTANCY GROUP 2151 E Road. Suite 115 Revelation Forex Fund-In Receivership, Kevin White Et al c/o Kelly Crawford, Receiver Scheef & Stone, LLP 8/7/14 S. Parker Review records for transactions between Revelation and associated entities and the brokerage I trading accounts August 31, 2014 Invoice: 57797 Hours 1.25 Rate $220.00 $275.00 1.25 8/12/14 S. Parker Analysis of FXCM trading account 6.35 $275.00 $220.00 $1,397.00 ---- $1,397.00 6.35 8/13/14 S. Parker Review and update spreadsheets to reconcile FXCM stmts with general ledger 1.35 $220.00 $297.00 1.35 8/14/14 S. Parker Complete reconciliation of FXCM accounts, prepare schedule for Receiver 1.65 $220.00 S. Parker Reconcile FXCM transactions, prepare analysis for Receiver 1.75 $220.00 S. Parker Prepare Schedule of disbursements to Akin Gump 1.00 1.00 $385.00 $385.00 1.75 8/22/14 $363.00 $363.00 1.65 8/15/14 $297.00 $220.00 $220.00 $220.00 The Alt Key, PLLC 2151 E. Broadway Road Suite 115, TempeAZ 852821 p.480.558.4400 1 f. 480.558.44151 e. admin@thealtke·---~~-. . Case 4:13-cv-00382-RAS-DDB Document 153-4 Filed 05/04/15 Page 2 of 6 PageID #: 2122 Revelation Forex Fund-In Receivership, Kevin White Et al Page 2 8/25/14 S. Parker Review and Discuss unknown transactions, prepare schedule for Receiver 1.85 $220.00 $407.00 L. Thompson Researched into if we could identify the payees on the checks coded as payable to Unknown in the QuickBooks file 1.00 $120.00 $120.00 2.85 8/26/14 S. Parker Look through records to identify bank account numbers. Account numbers were not included on the bank statements. Probably because many of them were downloads. 1.15 $527.00 $220.00 $253.00 $253.00 1.15 Total Case 4:13-cv-00382-RAS-DDB Document 153-4 Filed 05/04/15 Page 3 of 6 PageID #: 2123 Aft PLLC A PROFESSIONAL ACCOUNTANCY GROUP '"'"'·"'.lV'""J Road, Suite i 15 Revelation Forex Fund-In Receivership, Kevin White Et al c/o Kelly Crawford, Receiver Scheef & Stone, LLP 11/5/14 S. Parker TX Franchise tax reports March 31, 2015 Invoice: 600770 Hours 1.85 Rate $220.00 $407.00 1.85 11/12/14 L. Thompson Research into requirements to file Texas Franchise tax returns 1.25 $120.00 S. Parker Prepare and review TX franchise tax returns 1.65 $220.00 S. Parker Review documents provided by James Stafford, begin bookkeeping for 2014 1.80 $220.00 K. Chamberlin Loaded all transactions from Chase statements into quick books. 4.50 $100.00 S. Parker Review accounting and bookkeeping for 2014 in anticipation of tax return preparation 4.05 $450.00 $450.00 4.50 3/26/15 $396.00 $396.00 1.80 3/24/15 $363.00 $363.00 1.65 3/12/15 $150.00 $150.00 1.25 11/17/14 $407.00 $220.00 4.05 The Alt Key, PLLC 2151 E. Broadway Road Suite 115, Tempe AZ 85282 I p.480.558.4400 1 f. 480.558.4415 1 e. [email protected] $891.00 $891.00 Case 4:13-cv-00382-RAS-DDB Document 153-4 Filed 05/04/15 Page 4 of 6 PageID #: 2124 Revelation Forex Fund-In Receivership~ Kevin White Et al Page 2 3/31/15 S. Parker Reviewing apparent discrepancy in settlement from Weaver and Tidwell, determine the amounts deposited were net amounts with other fees withdrawn prior. 1.15 $220.00 1.15 Invoice Total $253.00 $253.00 Case 4:13-cv-00382-RAS-DDB Document 153-4 Filed 05/04/15 Page 5 of 6 PageID #: 2125 Aft PROFESSIONAL ACCOUNTANCY. GROUP Road. Sufte Revelation Forex Fund-In Receivership, Kevin White Et al c/o Kelly Crawford, Receiver Scheef & Stone, LLP 4/ 1/15 S. Parker Prepare 2014 partnership return form 1065. Reconcile capital accounts from inception and tie to returns. Review distributions and recovery's to determine proper treatment on Form K-1. Review foreign investor issues April 24, 2015 Invoice: 600897 Hours Rate 5.42 $220.00 5.42 4/ 9/15 S. Parker $11192.40 $1 1192.40 Review of partnership returns, make edits requested by receiver, prepare K-1 s, send to receiver. 2.03 $220.00 $446.60 Telephone consult with Larry Warfield regarding Withholding agent issues on foreign investors 0.42 $220.01 $91.67 $538.27 2.45 4/10/15 S. Parker Review and research options to address withholding requirements for foreign investor 2.28 $220.00 $502.33 2.28 4/13/15 S. Parker $502.33 Update and Finalize K-1 's with final changes, send final versions to Receiver 0.35 $220.00 $77.00 Complete Partnership tax returns 1.70 $220.00 $374.00 2.05 The Alt Key, PLLC 2151 E. Broadway Road Suite 115, Tempe AZ 85282 1p.480.558.4400 1 f. 480.558.44151 e. [email protected] $451.00 Case 4:13-cv-00382-RAS-DDB Document 153-4 Filed 05/04/15 Page 6 of 6 PageID #: 2126 Revelation Forex Fund-In Receivership, Kevin White Et al Page 2 Case 4:13-cv-00382-RAS-DDB Document 153-5 Filed 05/04/15 Page 1 of 2 PageID #: 2127 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS SHERMAN DIVISION U.S. COMMODITY FUTURES TRADING COMMISSION, Plaintiff, v. RFF GP, LLC, KGW CAPITAL MANAGEMENT and KEVIN G. WHITE, Defendants, REVELATION FOREX FUND, LP, MERIDIAN PROPANE LP, and W CORPORATE REAL ESTATE, LP d/b/a KGW REAL ESTATE, Relief Defendants. § § § § § § § § § § § § § § § § § § § § CIVIL ACTION NO. 4:13-CV-0382 ORDER GRANTING PETITION NO. 23 THE RECEIVER’S SIXTH FEE PETITION On this date, the Court considered Petition No. 23, The Receiver’s Sixth Fee Petition. The Court finds that the Commission does not oppose the relief requested in the Petition, that no other parties or persons objected to the relief requested, and that the Petition is just and appropriate and should be granted. ACCORDINGLY, it is hereby ordered that the Receiver is authorized to pay from the receivership assets recovered by the Receiver the following fees and expenses: 1. The sum of $4,125 shall be paid to Kelly Crawford for his services as Receiver from October 26, 2014 through April 25, 2015. In addition, the fees of $18,408 held back from the first five fee petitions shall be released and paid to Kelly Crawford. Case 4:13-cv-00382-RAS-DDB Document 153-5 Filed 05/04/15 Page 2 of 2 PageID #: 2128 2. The sum of $4,103 shall be paid to Scheef & Stone, L.L.P. for its services as counsel to the Receiver from October 26, 2014 through April 25, 2015. In addition, the fees of $40,567.80 held back from the first five fee petitions shall be released and paid to Scheef & Stone, L.L.P. 3. The sum of $543.05 shall be paid to Scheef & Stone, L.L.P. for expenses it incurred on behalf of its representation of the Receiver from October 26, 2014 through April 25, 2015. In addition, the expenses of $5,680.11 shall held back from the first five fee petitions shall be released and paid to Scheef & Stone, L.L.P. 4. The sum of $9,311 shall be paid to The Alt Key, PLLC for fees charged for its services as accountant to the Receiver from August 1, 2014 through April 25, 2015. In addition, the fees and expenses of $8,967.38 held back from the first five fee petitions and shall be released and paid as follows: $4,511.21 to Warfield & Company, CPA and $4,456.17 to The Alt Key, PLLC.
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