Full text
RLF1 28765874v.1
UNITED STATES BANKRUPTCY COURT
DISTRICT OF DELAWARE
------------------------------------------------------------ x
In re
:
Chapter 11
:
KABBAGE, INC. d/b/a KSERVICING, et al., :
Case No. 22-10951 (CTG)
:
:
(Jointly Administered)
Debtors.1
:
------------------------------------------------------------ x
Re: Docket No. 600
CERTIFICATE OF NO OBJECTION REGARDING THE FOURTH
MONTHLY FEE STATEMENT OF WEIL, GOTSHAL & MANGES LLP
FOR PAYMENT OF COMPENSATION AND REIMBURSEMENT OF
EXPENSES FOR PERIOD JANUARY 1, 2023 THROUGH
JANUARY 31, 2023 (NO ORDER REQUIRED)
The undersigned hereby certifies that, as of the date hereof, she has received no answer,
objection or other responsive pleading with respect to the fourth monthly fee application for
compensation and reimbursement of expenses (the “Monthly Application”) of Weil, Gotshal &
Manges LLP (the “Applicant”). The Monthly Application was filed with the United States
Bankruptcy Court for the District of Delaware (the “Court”) on March 3, 2023. The undersigned
further certifies that she has reviewed the Court’s docket in these cases and no answer, objection
or other responsive pleading to the Monthly Application appears thereon. Pursuant to the Notice
of Fee Application that was attached to the Monthly Application, objections to the Monthly
Application were to be filed and served no later than March 23, 2023 at 4:00 p.m. (ET).
The Monthly Application was filed and served in accordance with the Order Establishing
Procedures for Interim Compensation and Reimbursement of Expenses of Professionals, entered
1 The Debtors in these chapter 11 cases, along with the last four digits of each Debtor’s federal tax identification
number, as applicable are: Kabbage, Inc. d/b/a KServicing (3937); Kabbage Canada Holdings, LLC (N/A); Kabbage
Asset Securitization LLC (N/A); Kabbage Asset Funding 2017-A LLC (4803); Kabbage Asset Funding 2019-A
LLC (8973); and Kabbage Diameter, LLC (N/A). Kabbage is a trademark of American Express used under license;
Kabbage, Inc. d/b/a KServicing is not affiliated with American Express. The Debtors’ mailing and service address
is 925B Peachtree Street NE, Suite 383, Atlanta, GA 30309.
Case 22-10951-CTG Doc 724 Filed 03/24/23 Page 1 of 4
2
RLF1 28765874v.1
October 21, 2022 [Docket No. 136] (the “Interim Compensation Order”). Pursuant to the
Interim Compensation Order, the above-captioned debtors and debtors in possession are
authorized to pay the Applicant eighty percent (80%) of the fees and one hundred percent (100%)
of the expenses requested in the Monthly Application upon the filing of this certification without
the need for a further order of the Court. A summary of the fees and expenses sought by the
Applicant is annexed hereto as Exhibit A.
Case 22-10951-CTG Doc 724 Filed 03/24/23 Page 2 of 4
3
RLF1 28765874v.1
Dated: March 24, 2023
Wilmington, Delaware
/s/ Huiqi Liu
RICHARDS, LAYTON & FINGER, P.A.
Daniel J. DeFranceschi, Esq. (No. 2732)
Amanda R. Steele, Esq. (No. 5530)
Zachary I. Shapiro, Esq. (No. 5103)
Matthew P. Milana, Esq. (No. 6681)
Huiqi Liu, Esq. (No. 6850)
One Rodney Square
920 North King Street
Wilmington, Delaware 19801
Telephone: (302) 651-7700
E-mail: defranceschi@rlf.com
steele@rlf.com
shapiro@rlf.com
milana@rlf.com
liu@rlf.com
-and-
WEIL, GOTSHAL & MANGES LLP
Ray C. Schrock, Esq. (admitted pro hac vice)
Candace M. Arthur, Esq. (admitted pro hac vice)
Natasha S. Hwangpo, Esq. (admitted pro hac vice)
Chase A. Bentley, Esq. (admitted pro hac vice)
767 Fifth Avenue
New York, New York 10153
Telephone:
(212) 310-8000
E-mail:
ray.schrock@weil.com
candace.arthur@weil.com
natasha.hwangpo@weil.com
chase.bentley@weil.com
Attorneys for Debtors
and Debtors in Possession
Case 22-10951-CTG Doc 724 Filed 03/24/23 Page 3 of 4
RLF1 28765874v.1
EXHIBIT A
Professional Fees and Expenses
Monthly Fee Application
Applicant
Fee
Application
Period,
Filing Date,
Docket No.
Total Fees
Requested
Total
Expenses
Requested
Objection
Deadline
Amount of
Fees
Authorized
to be Paid
@ 80%
Amount of
Expenses
Authorized
to be Paid
@ 100%
Weil,
Gotshal &
Manges
LLP
(Attorneys
for the
Debtors and
Debtors in
Possession)
1/1/23 –
1/31/23
3/3/23
Docket No.
600
$1,966,530.50
$14,835.24
3/23/23
$1,573,224.40
$14,835.24
Case 22-10951-CTG Doc 724 Filed 03/24/23 Page 4 of 4