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IN THE UNITED STATES BANKRUPTCY COURT

FOR THE DISTRICT OF DELA WARE

In re: ) Chapter 11
)

PACIFIC ENERGY RESOURCES LTD., et al., i) Case No. 09-10785(KJC)

Debtors. )

) (Jointly Administered)

) Objection Deadline: May 14, 2009 at 4:00 p.m.

FIRST VERIFIED MONTHLY APPLICATION FOR COMPENSATION AN REIMUREMENT OF EXPENSES OF SCHUL Y, ROBERTS, SLATTERY & MAO PLC AS SPECIAL OIL & GAS AND TRANSACTIONAL COUNSEL FOR THE DEBTOR AND DEBTOR IN POSSESSION FOR THE PERIOD FROM MARCH 9. 2009 TO MARCH 31. 2009
Pursuant to sections 330 and 331 of Title 11 of the United States Code (the

"Bankptcy Code"), Rule 2016 of the Federal Rules of Banptcy Procedure (collectively, the

"Banptcy Rules"), and the Cour's "Admnistrative Order Under 11 U.S.c. 105(a) and 331
Establishig Procedures for Interim Compensation and Expense Reimbursement of Professionals and
Commttee Members," entered on or about April 15, 2009 (the "Administrative Order"), Schully,

Roberts, Slattery & Maro PLC (or the "Fir"), Special Oil & Gas and Transactional Counsel to the
Debtors and Debtors in Possession ("Debtor"), hereby submits its First Verified Monthly

Application (the "Application") for Compensation and for Reimbursement of Expenses for the

Period from March 9, 2009 through March 31, 2009 (the "Interim Fee Period") in the amount
of $88,261.73 and actual and necessar expenses in the amount of $1201.20 for a total allowance
of$70,609.38 payment of$88,261.73 (80% of

the allowed fees) and reimbursement of$I,201.20


$71,810.58. In support of

(100% of

the allowed expenses) for a total payment of

this Application,

the Firm respectfully represents as follows:


i The Debtors in these cases, along with the last four digits of each of

the Debtors' federal tax identification number,

are: Pacific Energy Resources Ltd. (3442); Petrocal Acquisition Corp. (6249); Pacific Energy Alaska Holdings,

LLC (tax 1.0. # not available); Cameros Acquisition Corp. (5866); Pacific Energy Alaska Operating LLC (7021);

Retention of Schullv. Roberts. Slattery & Marino PLC


1. The retention of the Firm, as counsel to the Debtor, was approved effective as of

March 8, 2009, by this Cour's "Order Granting Debtor's Application to Retain Schully, Roberts,

Slattery & Marino PLC as Special Oil & Gas and Transactional Counsel Nunc Pro Tunc

Pursuant to Section 327(e) of the Banptcy Code and Banptcy Rule 2014" entered on or
about April 15, 2009 (the "Retention Order"). The Retention Order authorized the Firm to be

compensated on an hourly basis and to be reimbursed for actual and necessary out-of-pocket

expenses.

Summary of Services Rendered


2. Attached hereto as Exhibit A is a detailed statement of fees incurred during the

Interim Fee Period showing the amount of

$88,261.73 due for fees.

3. The services rendered by the Firm during the Interim Fee Period are grouped into

a single category related to the Firm's role as Special Oil & Gas and Transactional Counsel for
the Debtor.
4. During the Interim Period, the Firm, among other things: (1) communicated with
regulators In response to notices related to reporting requirements, royalty assessments, lease

maintenance and pending litigation; (2) assisted Debtor In the preparation of motions and
memoranda relating to oil and gas and transactional legal issues, prepared and reviewed lease
and property assessments for entities who are managing Debtors' assets, in the review of deeds
and assignments to Debtor for assets acquired by Debtor, and in the review of plans of exploration

and on-going operation of Debtor's oil and gas business; (3) assisted Debtor in responding to
claims made by Debtor's co-lessees for moneys due under various oil & gas agreements; and (4)

address for all of

San Pedro Bay Pipeline Company (1234); Cameros Energy, Inc. (9487); and Gotland Oil, Inc. (5463). The mailing the Debtors is I I I W. Ocean Boulevard, Suite 1240, Long Beach, CA 90802.

responded to direct creditor inquiries regarding conduct of

Debtor's ongoing business, including

properties previously held or serviced by Debtors.


5. The Firm spent a tota of 362 hours and incured fees in the amount of $88,261. 73

in providing these oil and gas and transactional services to the Debtors.

6. A more detailed identification of the actual services provided is set forth on

the attached Exhibit A. Exhibit A identifies the attorneys and paraprofessionals who

rendered services relating to each category, along with the number of hours for each
individual and the total compensation sought for each category.

DISBURSEMENTS
7. The Firm has incurred out-of-pocket disbursements during the Interim Fee Period

in the amount of $1201.20. Pursuant to Local Rule 2016-2, the Firm represents that its rate
for duplication is $.10 per page.

Valuation of Services
8. Attorneys and paraprofessionals of the Firm have expended a total of 362

hours in connection with this matter during the Interim Fee Period.

9. The amount of time spent by each of these persons providing services to the
Debtors for the Fee Period is fully set forth in the detail attached hereto as Exhibit A. These

are the Firm's standard hourly rates of compensation for work of this character. The

reasonable value of the services rendered by the Firm for the Interim Fee Period as
Special Oil & Gas and Transactional Counsel for the Debtor is $88,261.73.
10. The Firm believes that the time entries included in Exhibit A attached hereto
are in compliance with the requirements of

Local Rule 2016-2.

11. In accordance with the factors enumerated in 11 U.S.C. 330, the amount

requested is fair and reasonable given (a) the complexity of this case, (b) the time'
expended, (c) the nature and extent of the services rendered, (d) the value of such services,
and (e) the costs of comparable services other than in a case under this title.
12. This Application covers the Interim Fee Period from March 9, 2009

through March 31,2009.


WHEREFORE, the Firm respectfully requests that, for the March 9, 2009 through

March 31, 2009 period, an interim allowance be made to the Firm for compensation in the

amount of $88,261.73 and actual and necessary expenses in the amount of $1201.20 for a

total allowance of $89,824.93 payment of $70,609.38 (80% of the allowed fees) and
reimbursement of $12.1.20 (100% of the allowed expenses) for a total payment of

$71,810.58.

u t;

i.
,.;

f~

VERIFICA TION
STATE OF LOUISIANA )

PARISH OF ORLEANS)
ANTHONY C. MAO, ESQUIR, being du1y sworn, deposes and says:
1. I am a shareholder of the applicant law firm Schully, Roberts, Slattery & Marno

PLC (''Te Firm").


2. I am familar with the legal serces rendered by the Firm, as Special Oil & Gas

and Transactional Counel to the Debtor, and am familiar with the work performed on behalf
of the Debtor by the lawyers and paraprofessionals of the Fir.

3. I have reviewed the foregoing Application and the facts set fort therein are

tre' and correct to the best of my knowledge, information and belief. Moreover, I have
reviewed DeL. Banks. LR 2016.-2 and the Administrative Order entered on or about Februar
28, 2007, and submit that the Application substantially complies with such Rule and Order.

4. Pursuant to 28 U.S.C. 1746, I declare under penalty of perjury that the

foregoing is tre and correct.

~-?~ 6'-6
Anthony C. M . 0

Dated: April 21, 2009

SWORN TO AN SUBSCRIED BEFORE


ME THIS 21ST

DAY OF APRIL, 2009

021.0703.2795.marchfees

IN THE UNITED STATES BANKRUPTCY COURT

FOR THE DISTRICT OF DELAWAR


In Re: PACIFIC ENERGY RESOURCES
LTD., et ai., i
Chapter 11

Case No. 09-10785 (KC)


Debtor

FIST APPLICATION OF SCHULLY, ROBERTS, SLATTERY & MAO PLC


FOR COMPENSATION FOR SERVICES RENDERED AN REIMBURSEMENT OF EXPENSES AS SPECIA OIL & GAS AND TRASACTIONAL COUNSEL TO THE DEBTORS AN DEBTORS-IN-POSSESSION FOR THE PERIOD FROM MACH 9. 2009 THROUGH MACH 31. 2009
Name of Applicant:

Schully, Roberts, Slattery & Maro PLC (the "Firm", Special Oil & Gas and Transactional Counsel for the Debtors
Pacific Energy Resources Ltd., et al.,
(''Debtors and Debtors-in-Possession")

Authorized to Provide Professional Serces to:


Retention: Period for which compensation and
Date of

March 8, 2009
March 8, 2009 though March 31, 2009

reimburement is sought: Amount of Compensation sought as


actual, reasonable and necessar:

$88,261.73

Amount of Expense Reimbursement sought


as actual, reasonable and necessar:
Ths is an: X interi _ final application

$1,201.20

The total time expended for fee application preparation is approximately 4 hours and the
corresponding compensation requested is approximately $1,200.00.

If ths is not the first application filed, disclose the following for each prior application:
Requested Fees
Requested Fees

Date Filed

Period Covered

Expenses

Expenses

1 The Debtors in these cases, along with the last four digits of each of the Debtors' federal ta identification number,
are: Pacific Energy Resources Ltd. (3442); Petrocal Acquisition Coip. (6249); Pacifc Energy Alaska Holdings,

~
~

,Operatig LLC (7021); San Pedro Bay Pipeline Company (1234); Cameros Energy, Inc. (9487); and Gotland Oil, Inc. (5463). The mailig address for all of the Debtors is 1 1 1 W. Ocean Boulevard, Suite 1240, Long Beach, CA 90802.
LLC (ta J.D. # not availabll;); Cameros Acquisition Coip. ,(5866); Pacific Energy Alaska

021.0704a.2795.attachment

Local Form 101 (Fee Application Cover Sheet)

ATTACHMENT B
TO FEE APPLICATION
the Applicant, Number of Years in that Position, Prior Relevant
Name of

Name of

Professional

Hourly
Biling Rate

Total

Person

Biled

Total Compensation

Experience. Year of Obtaig


License to Practice, Area of

(including changes)

Hour

Anthony C. Marno

Expertse Shareholder 1995, Member of $450.00


Louisiana Bar since 1985; oil

79

$35,550.00

& gas and transactional

serces
Herman E. Garer

Associate 2007, Member of


Louisiana Bar since 1976; oil

$385.00

& gas and transactional

serices
Lyn G. Wolf

Associate 2007, Member of Louisiana Bar since 2002; oil & gas and transactional

$300.00

177.4

53,200.00

serces
Kathleen L. Doody

Associate 2002, Member of Louisiana Bar since 2002; oil & gas and transactional

$225.00

20.5

4,612.50

servces
Emile Dreuil, II

Joan G. Seelman Diane M. Castle


Grand Total: 362

Associate 2007, Member of Louisiana Bar since 2005; oil & gas litigation Paralegal Paralegal

$225.00

24.4

5,490.00

$220.00 $220.00

1.7

374.00
12,980.00

59

Blended Rate: 290

021.0704a.2795.attachmeDt

Local Form 102 (Fee Application/Attachment B)

~~!A
~
Telephone: 504/585-7800 Facsimile: 504/585.1890

SCHULL Y, ROBERTS, SLATTERY & MARINO


A PROFESSIONAL LAW CORPORA nON

1100 POYDRA STREET, SUITE \800 NEW ORLEANS. LA 70163-1800


i nlemal Revenue Service

srATEMENT

Tax \.0. No. 72-1180458

Page: 1

Pacific Energy Resources, Ltd. 111 W. Ocean Blvd. Suite 1240

Long Beach CA 90802


A TIN: Mr. Darren Katic

OUR FILE NO: STATEMENT NO:

04/15/2009 6476-279SM
7

Forbearance Agreements

HOURS

03/09/2009

DMC Update and organize files regarding the SInking Fund Trust Agreement; review emails regarding bankruptcy filing; LGW Gather information on fied cases and send out notices; revise notices per Mr. Marino; work on San Pedro Bay sinking fund matters; telephone calls from various agencies and parties regarding bankruptcy filing and plans for properties; additional work on Corsair Assignments/Releases per Mr. Baldinger; gather information to give to agencies; answer Aera questions and check on Delaware UCC filings; more conference calls; ACM Review and respond to various emails with Mr. D. Katie; respond to emall from Ms. Wolf; follow-up with Ms. Davidson at DNR In Alaska; emails with Mr. Kharasch, bankruptcy counsel; telephone conference with Ms. Davidson at DNR

0.30

60.00

10.20

3,060.00

regarding bankruptcy fiing; telephone conference with Ms. Elverlene Wiliams at MMS; emails to Ms. Wolf regarding notices; telephone conference with Mr. Paul Butler; follow-up with Mr. Baldinger regarding Memorandum of Assignments; emails to Ms. Wolf regarding Sinking Fund Agreement for

SPBPL;

7.80
1.80

3,510.00

EJD

Memorandum to Mr. Marino regarding whether administrative proceedings are exempt from the "automatic stay" provisions of Chapter 11 of the Bankruptcy Code;

405.00

03/10/2009

DMC Prepare bankruptcy files; various offce conferences with Mr. Marino and Ms. Wolf; review and organize all pleadings filed to date in each PERL bankruptcy proceeding; LGW Work on file set up with Ms. Castle - PACER filings; discuss Alaska escrow accounts with bankruptcy counsel; receipt and discussion of CVX offer letter; discussion of seismic agreements as well .as motions for Wednesday; discussions with Mr. Marino regarding pre-post petition royalty motions; discussion with Ms. Kharasch regarding escrow payments per

5.60

1,120.00

Ms. Davison; work on SRSM qualifcation and deal with Hartg

SCHULLY, ROBERTS, SLATTERY & MARINO


STATEMENT
Page: 2

Pacific Energy Resources, Ltd.


OUR FILE NO: STATEMENT NO:

04/15/2009 6476-2795M
7

Forbearance Agreements

issues; conference calls; ACM Review and respond to various emails regarding bankruptcy; telephone conference with Danny Davis regarding signed term sheet. follow-up with Ms. Wolf; telephone conference with Mr. Twynoniuk regarding MMS royalty and overriding royalty; review and revise Memorandum of Agreement; emaHs to Mr. D. Katic; follow-up with notices to agencies; detailed conversation with Mr. Danny Davis regarding Memorandum of Assignment and Farmout; conference with Ms. Wolf; email to Mr. Butler regarding bankruptcy fiings; emalls to Mr. Davis at Escopeta; emails to Mr. D. Katie; review CVX information; exchange of emails from Mr. D. Katie;

HOURS 10.20

3,060.00

6.90

3,105.00

03/11/2009

LGW Continued work on fie set up with Ms. Castle - PACER filings; work with Mr. McFarland regarding Alaska escrow matters; more work on Escopeta and discussion of seismic agreements; work on memorandum of farmout with Mr. Marino; deal with numerous Chevron Issues for Mr. Saunders. as well as motions for Wednesday; discussions with Mr. Marino regarding pre-post petition royalty motions; discussion with Ms. Kharasch offering issues; work on SRSM qualification; conference calls; ACM Telephone conference with Mr. Davis concerning Corsair Seismic and Memorandum of Assignments; follow-up emalls to Mr. Rainwater and Ms. Wolf regarding Seismic Review License Agreement; various emails to lenders counsel and Alaska counsel regarding recording distnct requirements for filing memorandum; various emails to Mr. Davidson at DNR; various discussions with Ms. Wolf regarding Bankruptcy issues; telephone conference with Mr. Sieichter and Mr. Litvak regarding Corsair assignments and farmouts; follow-up with explanatory email;
DMC Continue with preparation of bankruptcy files; print, organize

9.80

2,940.00

7.30

3,285.00

03/12/2009

and index all pleadings filed to date in each PERL bankruptcy proceeding; review PACER website to determine order of ails from Mr. Marino filing; review, print and fie various em
(with attachments), all regarding the partially executed memorandum of Corsair Assignments and Farmout

SCHULL Y, ROBERTS, SLATTERY & MARINO


STATEMENT

Page: 3

Pacifc Energy Resources, Ltd.

OUR FILE NO: STATEMENT NO:

04/15/2009 6476-2795M 7

Forbearance Agreements

agreement discuss same with Mr. Marino; LGW E-mails from Ms. Shahan regarding DOJ/MMS conference call; discuss with Mr. Marino; participate in conference call; continued discussions of P&A obligations and escrows; work with Mr. McFarland regarding motion matters; more work on Escopeta farmout; work with Mr. Dreuil on MMS bond decision

HOURS 6.30

1.260.00

appeal; continued work on numerous Chevron issues;


discussions with Mr. Marino regarding pre-post petition royalty

motions; discussion with bankruptcy lawyers regarding


Goldman issues; review ordinary course motions to see who needs to qualify and who is covered by motions; ACM Review and respond to various emails concerning MMS & DOJ issues; follow-up with Ms. Wolf; various emails to Mr. D. Katic concerning conference call with MMS & DOJ; follow-up with Mr. Kharasch and abandonment issues for motions to pay; review draft of CVX offer;

9.80

2.940.00

4.30

1,935.00

03/13/2009

DMC Continue with preparation of bankruptcy files; print, organize

and index all pleadings fled to date in the PERL proceeding; make copy arrangements for binder relating to the Kitchen Unit Expansion Request for transmittal to Mr. Darren Katic; prepare correspondence to Mr. Katic; meet with copy

professional;
LGW Work on ORRI and royalty issues paid by RDI - Alaska; Locate SPBP exhibits for pipeline mortgages; extensive e-mail and file review; work on appeal to IBLA - Beta Supplemental Bond; research and review question from counsel regarding need to pay 2009 emission fees to state of CA; discussion calculation of such fees with Mr. Cervi; conference call; ACM Review and respond to vanous emails; conference with Ms. Wolf; follow-up with Mr. Karasch; emails to Mr. D. Katic;

7.00

1,400.00

" "

9.10
1.90

2,730.00

855.00
840.00
I
~

03/14/2009
03/16/2009

LGW File review and research;


DMC Continue with preparation of bankruptcy files; print, organize

2.80

and index all pleadings filed to date in the PERL proceeding;


LGW Preliminary drafting of Motion. Affdavit and order for SRSM as special oil and gas counsel in PERL bankruptcies; work on

4.00

800.00

assignments and assorted projects for bankrptcy counsel;

SCHULL Y, ROBERTS, SLATTERY & MARINO


STATEMENT
Page: 4

Pacific Energy Resources, Ltd.


OUR FILE NO: STATEMENT NO:

04/15/2009 6476-2795M 7

Forbearance Agreements

HOURS
conference call with Hoge firm; continued file update and Pacer review; conference call regarding royalty payments in Alaska paid by RDI and decisions made; ACM Meeting with Ms. Wolf regarding royalty motion and payment; review and respond to various emails regarding payments of royalty; conference call with Mr. Tywoniuk, Ms. McFarland and Ms. Wolf; review 0.0. report; follow~up with Mr. D. Katie; follow-up with Danny Davis regarding Seismic agreement and

9.80

2,940.00

data;

4.70

2,115.00

03/17/2009

DMC Review PACER; print, organize and index all pleadings fied subsequent to March 12, 2009; various offce conferences with Mr. Marino and Ms. Wolf regarding new filings; LGW Finalize Motion, Affdavit and order for SRSM as special oil and gas counsel in PERL bankruptcies; work with Mr. Marino for changes; send to Long Beach and to bankruptcy counsel for e-filing; fie research for Nobel regarding Beta filings; e-mail bankruptcy fiings to Noble; continued file update and Pacer review; ACM Review and respond to various emails; follow-up with Ms. Wolf; review materials for schedules; conference with Ms. Castle regarding bankruptcy pleadings; follow-up with Ms. Wolf;

3.50

700_00

9.80

2,940.00

2.10

945.00

03/18/2009

LGW Continued file update and Pacer review; work with bankruptcy counsel on stay relief and in PERL bankruptcies; check on retainer balances for pleadings; work on sale timetable; work on affdavit for fuel gas sales; discussions with Mr. Arlington regarding affdavit information; check Delaware UCC filings for

Nobel production payment;


ACM

10.80 3.00

3,240.00
1,350.00

Review and respond to various emails regarding bankruptcy and Agency Oil and Gas issues; follow-up with Ms. Wolf; vanous emails to Mr. Tywoniuk; instructions to Ms. Castle;

03/19/2009

DMC Review emails; conferences with Ms. Wolf; forward consolidated pleadings index to Ms. Wolf; LGW Discussions with Hartig on vanous appeals issues conference call; discussion of potential Chapter 7 for Alaska;

0.30

60.00

more discussion of sale timetable with Mr. Cervi; review of

SCHULLY, ROBERTSi SLATTERY & MARINO


STATEMENT
Page: 5

Pacific Energy Resources, Ltd.

OUR FILE NO: STATEMENT NO:

04/15/2009 6476-2795M
7

Forbearance Agreements

HOURS
new filings in bankruptcy cases; discussion of Marathon issues; continued file update and Pacer review; work with bankruptcy counsel on stay relief and in PERL bankruptcies; work on affdavit for fuel gas sales; discussions with Mr.
Arlington regarding various matters;

10.10

3,030.00

ACM

Review and respond to various emails; telephone conference


wit bankruptcy counsel; follow-up with Ms. Wolf; review

schedules; instructions to Ms. Castle for bankruptcy

pleadings;
DMC

1.90

855.00 517.50

Update and organize fies; prepare necessary indices; conferences with Ms. Wolf;

4.50
1.00

03/20/2009

Review PACER to determine any new filings; make copies for Ms. Wolf; update files; LGW Conference call on Chapter 7 issues; discussion of GS and SP wholly owned subs; request Mr. Marino contact DNR regarding updates on assignments; e-mails regarding Chevron stipulations and Marathon Fuel gas agreement; discussion with Mr. Saunders on various pipeline as P&A abandonment issues; e-mails to Mr. Arlington to request information; ACM Telephone conference with Ms. Wolf regarding bankruptcy issues; review and respond to various emails with Mr. Servi; follow-up with issues on Warm shut-in; conference with Ms. Wolf on warm shut research; DMC Continue with organization of fies; prepare indices; conferences with Mr. Marino and
DMC

200.00

9.80

2,940.00

4.40
3.70

1,980.00

425.50

03/22/2009

LGW Receive and review e-mails regarding questions from bankruptcy counsel relative to pipeline companies determined
to be "utility" for bankruptcy purposes (Section 366 of the

Bankruptcy Code and/or a violation of the automatic stay under Section 362); review issue In light of what happens if PERL asks Marathon to turn a valve to permit gas to be purchased from another source and Marathon refuses;

t
"

1.80

540.00
100.00

03/23/2009

DMC Review email and attachments regarding Spurr Platform; set up files; LGW Research on pipeline issues - Marathon fuel contract and

0.50

i ! i i i

SCHULLY, ROBERTS, SLATTERY & MARINO


STATEMENT
Page: 6

I i

Pacific Energy Resources, Ltd.


OUR FILE NO: STATEMENT NO:

04/15/2009 6476-2795M
7

i.
I i

Forbearance Agreements

HOURS
other issues researched requested by bankruptcy counsel; work with Alaska personnel to develop numbers for PA on properties other than Redoubt; discuss with bankruptcy counsel; review Hemlock PA and discuss with Mr. Arlington about plans considering bankruptcy; review Union Oil motion to lift automatic stay and address issues for bankruptcy counsel; review Chevron stipulation and e-mail Hartig firm litigation; discussion of audit inquiry; more regarding stay of all clarification of PEAO/PERL Issues; conference calls; ACM Review and respond to vanous emalls regarding Fuel Gas Issues; pipeline common carrier for CIPL and SPBPC; follow-up with Ms. Wolf; follow-up with Mr. D. Katie; review and revise CVX offer letter; LGW Receipt and review of MMS lefter granting extension of time under OSFR 1019; forwarded letter to Ms. Hazen and Ms.

8.10

2,430.00

6.40 0.50 1.60

2,880.00
150.00 184.00

Robertson;
DMC Continue with indexing of fie materials;

03/24/2009

and Memo In Review Union Oil's Motion to lift Automatic Stay Support; make copies for Ms. Wolf; review PACER to determine any additional filings since March 20; copy said materials and update pleadings files; conference with Ms. Wolf; search fies for copy of Marathon/Forecenergy Purchanse and Sale Agreement from 1996; LGW Continued work on Marathon fuel contract and other issues researched requested by bankruptcy counsel; work with Alaska personnel to develop numbers for PA on properties
DMC

1.80

360.00

other than Redoubt Spurr and West MacArur Gas; discuss


with bankruptcy counsel; review PERL liens and send to bankruptcy counsel for work on Union motion to lift stay; review e-mails and unsecured creditors committee research; begin assembling materials responsive; locate and review Marathon and Forcenergy PSA for Goldman counsel; more
discussion of Chevron stipulation and stay of all litigation;

discussion of audit inquiiy; continue working on clarification of PEAO/PERL issues; partcipate in conference calls; ACM Review and respond fo various emails; follow-up with issues concerning credltots committee; disucssion with Mr. Litvak; emaHs to Mr. Amber; emaHs to Mr. Sanders;

8.30

2,490.00

2.90

1,305.00

SCHULLY, ROBERTS, SLATTERY & MARINO


STATEI'IENT
Page: 7

Pacifc Energy Resources, Ltd.


OUR FILE NO: STATEMENT NO:

04/15/2009 6476-2795M
7

Forbearance Agreements

HOURS

03/25/2009 LGW Work on documentation responsive to request from Creditor's


Committee; research on specific operations issues other issues requested by bankruptcy counsel; work with to develop numbers for PA on propertes Spurr and West MacArthur Gas; continued discuss ion with bankruptcy counsel; review reclamation demand from Marathon and gather information and comment; work on issues related to Union motion to lift

stay; continued work on Marathon and Forcenergy PSA


issues for Goldman counsel; work on audit inquir; continue working on clarification of PEAO/PERL issues; partcipate in conference calls; receive and review Preliminary Alaska Operations Report and strategy alternative; gather CVX abandonment information per Mr. Marino; continued work on
appeal stays and various motions;

9.30

2,790.00

ACM Review and respond to various emailswithMs.Wolf.Mr.


Litvah and Mr. Saunders regarding assets in Alaska and various bankruptcy issues related to royalties, follow-up with Mr. Tywoniuk; review materials from Mr. Arlington: initial review of audit resonse request; telephone conference with Max Litvah regarding abandonment; conference with Ms. Wolf regarding creditors requestfor royalty, email to Mr. D. Katie regarding TBU abandonment issues; conference with Ms. Doody regarding legal research on issues of possession of propert and right to abandon; review email from Mr. Litvah;

telephone conference with Pacifc Energy Representatives;


bankruptcy counsel and consultants for Alaska Assets Strategy Alternatives;

8.70

3,915.00

03/26/2009 DMC Review emails and Emergency Motion for Authority to Pay
Pre-Petition and Post Petition Obligations to Royalty Interests; review and file Memorandum of Assignments and Farmout

Letter Agreement (PERLJEscopeta); review PACER to obtain


any and all new filings in PERL bankruptcy proceeding; update fies accordingly; review email from Mr. Filberto Agusti regarding documents needed in support of the royalties motion; telephone conference with Mr. Agusti, Mr. Marino and Ms. Wolf regarding same; begin process of gathering documents for motion; obtain copies of document CD's

SCHULLY, ROBERTS, SLATTERY & MARINO


STATEMENT
Page: 8

Pacific Energy Resources, Ltd.


OUR FILE NO: STATEMENT NO:

04/15/2009 6476-2795M
7

Forbearance Agreements

already on fie;
LGW Participation in three conference calls on various PERL bankruptcy issues; discussion with Hartig firm regarding

HOURS 7.00

1,400.00

request from Alaska AG on appeals depending - unit issues;


continued work on documentation responsive to request from Creditor's Committee; research on specific operations issues for Alaska Operations Report and strategy alternatives requested by creditors; check and correct exhibits dealing with numbers for PA on properties - Spurr, Redoubt and West MacArthur Gas; continued discussion with bankruptcy counsel; review reclamation demand from Marathon and gather information and comment; work on issues related to Union motion to lift stay; continued work on contract and lease issues for Goldman counsel; work on audit inquiry; continue working on clarification of PEAO/PERL issues; receive and review preliminary Alaska Operations Report and strategy alternative; work on CVX issues; continued work on appeal stays and various motions; Begin legal research arguments for the abilty of the
bankruptcy trustee to abandon propert of

9.10

2,730.00

KLD

the estate;

conference with Mr. Marino regarding same; ACM Conference with Mr. Saunders in preparation of document request by Creditor's Committee; meet with Ms. Wolf and Ms. Castle regarding production of documents regarding royalty payments and Beta Trust Account; conference with Steptoe lawyers for Creditors Committee; follow-up meeting with Ms. Wolf and Ms. Castle for production of documents; conference call on Chevron's Motion to Stay; KLD Begin legal research arguments for the ability of the bankruptcy trustee to abandon propert of the estate; conference with Mr. Marino regarding same;

2.00

480.00

5.30
2.00

2,385.00

480.00
f
~

03/27/2009

DMC Prepare transmittl correspondence to Mr. Filberto Agusti regarding documents needed in support of the royalties motion; continue with process of gathering and scanning said

documents
LGW Finalize letter to Alaska agreement with Hartig firm regarding appeals depending - unit issues; continued work on documentation responsive to request from Creditor's

1.50

300.00

SCHULLY, ROBERTS, SLATTERY & MARINO


STATEMENT

Page: 9

Pacific Energy Resources, Ltd.

OUR FILE NO: STATEMENT NO:


Forbearance Agreements

04/15/2009 6476-2795M 7

HOURS
Committee; put together listing of RDI overrides; continued research on specific operations issues for Alaska Operations Report and strategy alternatives requested by creditors; check and correct exhibits dealing with numbers for PA on properties - Spurr, Redoubt and Kustatan; continued discussion with .bankruptcy counsel; continued work on lease issues for Goldman counsel; work on audit inquiry; continue working on PEAO/PERL issues; receive and review exhibits for Alaska Operations Report and strategy alternatives and help counsel put in FINAL for presentation to creditors; extensive file review and compilation for Creditors Commitee; discussion with Mr. Perkins regarding oankruptcyand motion to employ due course counsel; send all pleadings to date to Stoel; discuss Mr. Perkins unresolved issues with Mr. Arlington; response to creditors' questions regarding volcanic activity in Alaska; Continue to legal research the abilty of the trustee to abandon

9.40

2,820.00

KLD

propert of the estate; finalize legal research concerning the arguments supporting the abilty of the trustee to abandon
property of the estate under a joint and several

liabilty theory;

6.50
1.20

1,560.00

ACM

Follow-up with CVX offer; review and respond to emails regarding bankruptcy and oil & gas issues;

540.00 210.00

03/28/2009 03/30/2009

LGW Continued work on documentation responsive to request from

Creditor's Committee;
DMC Prepare transmital correspondence to Mr. Filiberto Agusti and others forwarding documents needed in support of the

0.70

royalties motion; continue with proces of gathering and scanning said documents; assist Ms. Wolf with preparation of royalty schedules; LGW Continued work on documentation responsive to request from Creditor's Committee; research on specific operations issues for Alaska Operations Report and strategy alternative requested by creditors; prepare and send; work on audit letter; review information for motions and newly filed pleadings in bankruptcy case; continued work on royalty issues; work on DNR payment issues; research on various oil and gas issues

3.50

700.00

for bankruptcy counsel;


ACM

7.10

2,130.00

Review and respond to emails regarding oil and gas royalty

SCHULLY, ROBERTS, SLATTERY & MARINO


STATEMENT
Page: 10

Pacific Energy Resources, Ltd.


OUR FILE NO: STATEMENT NO;

04/15/2009 6476-2795M
7

Forbearance Agreements

HOURS

issues; conference with Ms. Wolf; follow-up wit bankruptcy lawyers;


KLD

1.10

495.00
1,080.00

Finalize legal research concerning the arguments supporting

the abilty of the trstee to abandon propert of the estate under a joint and several liabilty theory;

4.50
1.00

03/31/2009

DMC Prepare transmittal packages; various conferences with Ms. Wolf; ACM Various emails to Mr. Tywoniuk and Ms. Wolf; follow-up with royalt payment information; emails to Steptoe law firm; LGW Continued work on documentation responsive to request from Creditor's Committee; work with Steptoe associates to educate on oil and gas matters; prepare and send; finalize

200.00
990.00

2.20

audit letter and send after e-mails and conversations wit CA


accountants; review drafts of responses to motions and newly lines and comments; continued work on royalty issues; work on DNR payment issues; participate in conference call on abandonment and strategy for PEAO; discuss MMS emergency royalty suspension with Steptoe attorneys; receive and review Alaska press regarding Drift River facilty; follow-up with Alaska counsel regarding matters pending before DNR; research on various oil and gas issues for bankruptcy counsel; Complete memorandum for Mr. Marino related to joint and
fied pleadings in bankruptcy case; red

KLD

severalliablty; conference with Ms. Wolf regarding same;


final

legal research regarding same;

TOTAL FEES:
RECAPITULATION

9.10

2,730.00
1,320.00

5.50 313.10

97,237.00

TIMEKEEPER.
Diane M. Castle Anthony C. Marino Lynn G. Wolf
Emile J. Dreuil, ILL

Kathleen L. Doody

HOURS HOURLY RATE 53.10 $184.31 450.00 12.10 300.00 165.60 1.80 225.00 240.00 20.50

TOTAL

$9,787.00 32,445.00 49,680.00 405.00 4,920.00

SCHULLY, ROBERTS, SLATTERY & MARINO


STATEMENT
Page: 11

Pacific Energy Resources, Ltd.


STATEMENT

04/15/2009
OUR FILE NO: 6476-2795M

i I

NO: 7
t

Forbearance Agreements

Photocopies
Photocopies (Choice; 24150) Research Services (Westlaw; 24181)
Federal Express (24158)

TOTAL EXPENSES: THRU 03/31/9009


PREVIOUS BALANCE

147.00 333.15 280.48 66.75 827.38

$74,768.11

I I i i

TOTAL CURRENT WORK:

98,064.38

I i

BALANCE DUE:

$172,832.49
I

PLEASE INDICATE FILE NUMBER, STATEMENT NUMBER AND STATEMENT DATE ON ALL REMITTANCES

~~~
J
Telephone: 504/585-7800 Facsimile: 504/585-7890

SCHULLY, ROBERTS, SLATTERY & MARINO


A PROFESIONAL LAW CORPORATION
1100 POYDRAS STREET, SUITE 1800 NEW ORLEANS, LA 70163-1800

STATEMENT

Internal Revenue Service Tl\\: LD. No. 72-1 180458

Page: 1

Pacific Energy Resources, Ltd.

04/15/2009
OUR FILE NO: 6476-2806M

111 W. Ocean Blvd. Suite 1240 Long Beach CA 90802


A TIN: Mr. Darren Katic

STATEMENT NO: 7

Appeal: Beta Bonding to IBLA

HOURS

03/09/2009

ACM Email to Mr. Dreuil regarding study and review, review email regarding IBLA filings;

0.30 0.30 0.30 1.00


1.60

135.00

03/10/2009
03/11/2009

EJD

Discussed bankruptcy issues with Mr. Marino and how bankruptcy affects the IBLA appeal;

67.50 67.50 300.00


720.00

Telephone calls to Ms. Walsh regarding status of case; LGW Work with Mr. Dreuil on MMS bond decision appeal; ACM Review emails for appeal and review of background materials; instructions to Mr. Dreuil; follow-up with Ms. Wolf on submissions to solicitor's offce;

EJD

03/12/2009

DMC Review email and attachments received from Mr. Marino; review MMS Bond Decision along with all related supportive documents to be reviewed by Mr. Dreuil; set up files relative to

same;
ACM Conference with Mr. Dreuil regarding preparation of statement of reasons for appeal;

0.30 0.80 5.40

60.00

360.00
1,215.00

03/14/2009 03/15/2009

EJD

Conducted legal research in support of arguments for statement of reasons; began drafting same;

LGW Work on IBLA appeal; review of due dilgence materials and prior opinions for issues concerning Royalty payments in

Alaska paid by RDI; on-line DNR research;

3.80
1.10

1.140.00

03/16/2009

EJD

Legal research for statement of reasons; continued drafting of

same;
03/17/2009
ACM Review and revise brief-statement of reasons for IBLA bonding appeal; conference with Ms. Wolf; follow-up with Mr. Dreuil; LGW Work on IBLA appeal with Mr. Dreuil;

247.50

3.10 2.00

1,395.00 600.00

SCHULL Y, ROBERTS, SLATIERY & MARINO


STATEMENT

Page: 2

Pacific Energy Resources, Ltd.

04/15/2009
OUR FILE NO: 6476-2806M

STATEMENT NO: 7
Appeal: Beta Bonding to IBLA

HOURS
DMC

EJD

and update fies relative to the appeal in progress; conferences with Mr. Marino and Mr. Dreuil. Continued drafting statement of reasons in support of notice of appeal; review correspondence fies in connection with same;
Review

1.20

240.00

11.40
1.10 3.80

2,565.00 495.00 1,140.00

03/18/2009

ACM Finalize Brief for filing with IBLA; conference with Mr. Dreuil; LGW Finalize and file IBLA appeal with Mr. Dreuil and Mr. Marino; EJD Continued drafting statement of reasons; prepared same for submission to IBLA; prepared exhibits and cover leiter regarding same; forwarded statement of reasons to all interested parties; DMC Conference with Mr. Dreuil regarding Notice of Appeal relative to appeal on royalty relief and suspension; review emaHs; make necessary copies;

4.10

922.50

03/19/2009

03/24/2009

DMC Review, update and organize files; DMC Update and reorganize files; index all historical MMS related

documentation;
TOTAL FEES:

0.80 2.40 46.00


TOTAL

1.20

240.00
160.00

480.00 12,550.00

TIMEKEEPER Diane M. Castle Anthony C. Marino Lynn G. Wolf Emile J. Dreuil, II

RECAPITULATION HOURS HOURLY RATE

5.90 6.90 10.60 22.60

$200.00 450.00 300.00 225.00

$1,180.00 3,105.00 3,180.00 5,085.00

Photocopies
Federal Express (24158)

118.25 72.06
190.31

TOTAL EXPENSES: THRU 03/31/9009


PREVIOUS BALANCE

$807.84

SCHULLY, ROBERTS, SLATTERY & MARINO


STATEMENT
Page: 3

Pacifc Energy Resources, Ltd.

04/15/2009
OUR FILE NO: 6476-2806M

STATEMENT NO: 7
Appeal: Beta Bonding to IBLA

TOTAL CURRENT WORK:

12,740.31

BALANCE DUE:

$13,548.15

PLEASE INDICATE FILE NUMBER. STATEMENT NUMBER AND STATEMENT DATE ON ALL REMITTANCES

~CA
II
Telephone: 504/585.7800
Facsimile: 504/585-7890

SCHULL Y, ROBERTS, SLATTERY & MARINO


A PROFESIONAL LAW CORPORATION
1 LOLL POYDRAS STEET, SUITE 1800

NEW ORLEANS, LA 70163-1800


Internal Revenue Service

STATEMENT

Ta.'(!.. No. 72-1 180458

Page: 1

Pacific Energy Resources, Ltd. 111 W. Ocean Blvd. Suite 1240

04/15/2009
OUR FILE NO: 6476-2463M

Long Beach CA 90802


ATTN: Mr. Darren Katie
Beta Field Acquisition

STATEMENT NO: 37

HOURS

03/19/2009 LGW Review of several e-mails related to OSFR coverage


approval; conference with Mr. Clancy of the MMS regarding same; prepared e-mail for Ms. Hazen and Ms. Robertson letter; regarding sending copy of MMS approval JGS Review of several emails related to OSFR coverage approval; conference with Mr. Clancy of the MMS regarding same; prepared email for Ms. Hazen and Ms. Robertson regarding sending copy of MMS approval letter;

1.20

360.00

1.20

264.00

03/23/2009 JGS Receipt and review of MMS letter granting extension of time
under OSFR 1019; forwarded letter to Ms. Hazen and Ms.

Robertson;
TOTAL FEES:
RECAPITULATION !:OURS HOURLY RATE

0.50 2.90
TOTAL

110.00

734.00

:rIMKE-EPER Joan Guidry Seelman Lynn G. Wolf

1.70 $220.00

1.20 300.00

$374.00 360.00

PREVIOUS BALANCE

$1.037.00
734.00

TOTAL CURRENT WORK:

BALANCE DUE:

$1,771.00

PLEASE INDICATE FILE NUMBER, STATEMENT NUMBER AND STATEMENT DATE ON ALL REMITTANCES

~CA
)

SCHULL Y, ROBERTS, SLATTERY & MARINO


A PROFESSIONAL LAW CORPORATION
1100 POVDRAS STREET, SUITE 1800 NEW ORLEANS, LA 70163-1800

Telephone: 504585-7800
Facsimile: 504/585.7890

Internal Revenue Service


Ta,x i. D. No. 72- 1180458

STATEMENT

Page: 1

Pacifc Energy Resources, Ltd.

04/15/2009
OUR FILE NO: 6476-2617M

111 W. Ocean Blvd. Suite 1240


Long Beach CA 90802

STATEMENT NO: 26

ATfN: Mr. Darren Katie


Alaska Assets

I.

Photocopies
Federal Express (24158)

TOTAL EXPENSES: THRU 03/31/9009


PREVIOUS BALANCE

347.75 26.07 373.82


$1.175.00
373.82

i i

TOTAL CURRENT WORK:

BALANCE DUE:

$1,548.82

PLEASE INDICATE FILE NUMBER, STATEMENT NUMBER AND STATEMENT DATE ON ALL REMITfANCES

IN THE UNITED STATES BANKRUPTCY COURT


FOR THE DISTRICT OF DELA WARE

In re: ) Chapter 11
)

PACIFIC ENERGY RESOURCES LTD., et al., i) Case No. 09-10785(KJC)

Debtors. )

) (Jointly Administered)

) Objections Deadline: May 14,2009 at 4:00 p.m.

NOTICE OF FILING OF FEE APPLICATION


TO: (i) the Debtors; (ii) counsel to the Debtors; (iii) the United States Trustee, and (iv) counsel to the Official Committee of Unsecured Creditors (the "Notice Parties")

Schully, Roberts, Slattery & Marino PLC ("SRSM"), special oil and gas and
transactional counsel to the debtors and debtors in possession in the above-captioned case (the

"Debtors"), has fied its Monthly Application for Compensation and Reimbursement of
Expenses of Schully, Roberts, Slattery & Marino P LC as Special Oil and Gas and

Transactional Counsel to Debtor and Debtors in Possession, for the Period from March 9,
2009 through March 31, 2009, seeking compensation for services in the amount of $88,261.73
and reimbursement of costs incurred in the amount of $1 ,20 1.20 (the "Application").
PLEASE TAK FURTHER NOTICE that objections, if any, to the Application must

be made in accordance with the Administrative Order Under 11 U.S.C. 105(a) and 331

Establishing Procedures for Interim Compensation and Reimbursement of Expenses for


Professionals and Committee Members (Docket No. 172) (the "Administrative Order") and must
be fied with the Clerk of the United States Bankptcy Court for the District of Delaware, 824
Market Street, Wilmington, Delaware 19801, and received by no later than 4:00 p.m. (Eastern
i The Debtors in these cases, along with the last four digits of each of

the Debtors' federal tax identification number,

are: Pacific Energy Resources Ltd. (3442); Petrocal Acquisition Corp. (6249); Pacific Energy Alaska Holdings,

LLC (tax 1.0. # not available); Cameros Acquisition Corp. (5866); Pacific Energy Alaska Operating LLC (7021); San Pedro Bay Pipeline Company (1234); Cameros Energy, Inc. (9487); and Gotland Oil, Inc. (5463). The mailing address for all of the Debtors is i i i W. Ocean Boulevard, Suite 1240, Long Beach, CA 90802.

Time) on May 14,2009 (the "Objection Deadline").

Objections or other responses to the Application, if any, must also be served so

that they are received not later than May 14,2009 at 4:00 p.m. prevailng Eastern time, by:
(a) the Debtors, (1) Pacific Energy Resources, 111 W. Ocean Boulevard, Suite 1240, Long

Beach, CA 90802, Attn: Gerry Tywoniuk, Senior VP & CFO and(2) Zolfo Cooper, 1166 Sixth
Avenue, 24th Floor, New York, NY 10036, Attn: Scott W. Winn, Senior Managing Director;
(b) counsel to the Debtors, (1) Pachulski Stang Ziehl & Jones LLP, 919 North Market Street, 1 ih

Floor, Wilmington, DE 19899-8705, Attn: Laura Davis Jones, Esq.; Fax: 302-652-4400, e-mail:

lionesripszilaw.com and (2) Pachulski Stang Ziehl & Jones LLP, 10100 Santa Monica Blvd.,

i ith Floor, Los Angeles, CA 90067-4100; Attn: Ira D. Kharasch, Esq; Fax: 310-201-0760,
e-mail: ikharashripszilaw.com (c) the Office of

the United States Trustee, J. Caleb Boggs

Federal Building, 844 N. King Street, Suite 2207, Lock Box 35, Wilmington, Delaware 19801,
Attn: Joseph McMahon, Esq. and (d) counsel for the Official Committee of

Unsecured Creditors

(the "Committee"), (1) Steptoe & Johnson LLP, 2121 Avenue of

the Stars, 28th Floor, Los

Angeles, CA 90067; Attn: Katherine C. Piper, Esq., Fax: (310) 734-3173, e-mail:
kpiperristeptoe.com and (2) Pepper Hamilton LLP, Hercules Plaza, Ste 5100,1313 N. Market

Street, Wilmington, DE 19801; Attn: James C. Carignan, Esq., Fax: (302) 421-8390, e-mail:
icarignan~pepperlaw.com (the "Notice Parties")

PLEASE TAKE FURTHER NOTICE that if any responses or objections to the


Application are timely fied, served and received, a hearg on the Application will be held at the

convenience of the Bankuptcy Court. Only those objections made in writing and timely fied
and received in accordance with the Administrative Order and the procedures described herein

wil be considered by the Banptcy Court at such hearing.

PLEASE TAK FURTHER NOTICE that, pursuat to the Administrative Order;if


no objection to the Application is timely fied, served and received by the Objection Deadline, the
Applicant may be paid an amount equal to the lesser of (1) 80 percent of the fees and 100 percent

of expenses requested in the Application or (ii) 80 percent of the fees and 100 percent of the
expenses not subject to an objection without the need for further order of

the Bankruptcy Court.

Dated: April J!, 2009

P ACHULSKI STANG ZIEHL & JONES LLP

a ra Davis on s (D ar 36)
Ira . Khara h (CA Bar o. 109 84)

Scotta E. McFarland (D Bar No 4184, CA Bar No. 165391)


Robert M. Saunders (CA ar o. 226172)
James E. O'Neil (DE Bar No. 4042)

Kathleen P. Makowski (DE Bar No. 3648)


919 North Market Street, 17th Floor

P.O. Box 8705 Wilmington, DE 19899-8705


Telephone: 302/652-4100

Facsimile: 310/652-4400
Email: lionesripszilaw.com

ikharaschripszi law .com smcfarland~pszi law.com rsaundersripszi law .com

i oneilripszi law .com


kmakowskiripszi law .com

Counsel for Debtors and Debtors in Possession.

IN THE UNITED STATES BANKRUPTCY COURT

In re: )
STATE OF DELAWARE )
) ss:

FOR THE DISTRICT OF DELAWARE

Chapter II
) )

PACIFIC ENERGY RESOURCES LTD., et al., i )

Debtors. )

Case No. 09-10785 (KJC) (Jointly Administered)

AFFIDAVIT OF SERVICE

COUNTY OF NEW CASTLE )


Kathleen Forte Finlayson, being duly sworn according to law, deposes and says
that she is employed by the law firm of

Pachulski Stang Ziehl & Jones LLP, attorneys for the

Debtors in the above-captioned action, and that on the 24th day of April, 2009 she caused a copy
of

the following document(s) to be served upon the paries on the attached service lists in the

manner indicated:

Notice and Fee Application of Schully, Roberts, Slattery & Marino PLC as Special Oil and Gas and Transactional Counsel for the Debtors for the Period March 9-31, 2009

DEBRA L. YOUNG NOTARY PUBLIC


STATE OF DELAWARE

Notary Public
Commission Exp.:
i The Debtors in th e c s, along with the last four digits of

My coission expires July 18,20

the Debtors' federal tax each of identification number, are: Pacific Energy Resources Ltd. (3442); Petrocal Acquisition Corp. (6249); Pacific Energy Alaska Holdings, LLC (tax J.D. # not available); Cameros Acquisition Corp. (5866); Pacific Energy Alaska Operating LLC (7021); San Pedro Bay Pipeline Company (1234); Cameros
Energy, Inc. (9487); and Gotland Oil, Inc. (5463). The mailing address for all of

the Debtors is 11 I W.

Ocean Boulevard, Suite 1240, Long Beach, CA 90802.

Pacific Energy Resources Ltd. Fee App Service List


Case No. 09-10785
Document No. 147432

Hand Delivery
(Counsel to Offcial Committee of

Unsecured

03 - Hand Delivery 05 - First Class Mail

Creditors) David B. Stratton, Esquire James C. Carignan, Esquire Pepper Hamilton LLP
Hercules Plaza, Suite 1500

01 - Interoffce Pouch

(Counsel for Debtors) Laura Davis Jones, Esquire James E. O'Neil, Esquire Kathleen P. Makowski, Esquire Pachulski Stang Ziehl & Jones LLP 919 North Market Street, 17th Floor P.O. Box 8705 Wilmington, DE 19899-8705

1313 Market Street Wilmington, DE 19899 First Class Mail (Debtors) Mr. Gerr Tywoniuk Senior Vice President & CFO Pacific Energy Resources ILL We. Ocean Boulevard, Ste 1240 Long Beach, CA 90802

Interoffice Pouch to Los Angeles (Counsel for Debtors) Robert M. Saunders, Esquire Ira D. Kharasch, Esquire Scotta E. McFarland, Esquire Pachulski Stang Ziehl & Jones LLP
10100 Santa Monica Blvd., II th Floor Los Angeles, CA 90067

First Class Mail (Debtors)


Mr. Scott W. Winn Senior Managing Director Zolfo Cooper
1166 Sixth Avenue, 24th Floor

New York, NY 10026

First Class Mail


(Counsel to Official Committee of

Unsecured

Hand Delivery (United States Trustee) Joseph McMahon, Esquire Office of the United States Trustee J. Caleb Boggs Federal Building 844 North King Street, Suite 2207
Lockbox 35

Creditors) Francis J. Lawall, Esquire Pepper Hamilton LLP 3000 Two Logan Square Eighteenth & Arch Streets Philadelphia, P A 19103

Wilmington, DE 1980 i
Hand Delivery (Copy Service)
Parcels, Inc.

First Class Mail


(counsel to Official Committee of Unsecured Creditors)
Filberto Agusti, Esquire

Steven Reed, Esquire

Vito i. DiMaio 230 N. Market Street Wilmington, DE 19801

Joshua Taylor, Esquire Steptoe & Johnson LLP 1330 Connecticut Avenue NW Washington, DC 20036

First Class Mail


(counsel to Official Committee of

Unsecured Creditors)

Robbin Itkin, Esquire Katherine Piper, Esquire Kelly Frazier, Esquire Steptoe & Johnson LLP
2121 Avenue of the Stars, 28th Floor

Los Angeles, CA 90067

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