Guo Wengui / Miles Guo — bankruptcy case · PETITION · ECF #1959
METADATA
- Defendant
- Guo Wengui / Miles Guo / Ho Wan Kwok
- Court
- CTB
- Case No.
- 22-50073
- ECF #
- 1959
- Type
- PETITION
FULL TEXT
UNITED STATES BANKRUPTCY COURT DISTRICT OF CONNECTICUT BRIDGEPORT DIVISION
In re:
Debtor. SECOND SUPPLEMENTAL DISCLOSURE OF COMPENSATION OF SPECIAL (CRIMINAL DEFENSE) COUNSEL FOR DEBTOR
1. This Second Supplemental Disclosure supplements the Supplemental Disclosure filed by Brown Rudnick ("BR") on May 24, 2023 [Docket No. 1822]. Pursuant to 11 U.S.C. § 329(a) and Fed. R. Bankr. P. 2016(b), I certify that Brown Rudnick LLP served as special (criminal defense) counsel to debtor Ho Wan Kwok (the "Debtor"), and that compensation paid to BR within one year before the filing of the petition in bankruptcy, or agreed to be paid to BR, for services rendered or to be rendered as special counsel on behalf of the Debtor in contemplation of or in connection with the bankruptcy case, for the period of May 15 through June 23, 2023, is as follows:
For legal services, BR has agreed to accept: \$29,482
Prior to the filing of this statement, BR has received (on or about March 20, 2023, as an
2. The source of the compensation paid to BR was:
Vision Building Energy Efficiency LLC \$14,741
3. The source of compensation to be paid to BR for such period is: Not Applicable.
- 4. BR has not agreed to share the above-disclosed compensation with any other person unless they are members and associates of BR. - 5. In return for the above-disclosed fee, BR has agreed to render legal services in connection with the Debtor's chapter 11 case relating to the preservation of the Debtor's rights under the Fifth Amendment to the United States Constitution. - 6. By agreement with the Debtor, the above-disclosed fee does not include the following services: services not relating to the preservation of the Debtor's rights under the Fifth Amendment to the United States Constitution.
I certify that the foregoing is a complete statement of any agreement or arrangement for payment to BR for representation of the Debtor as special (criminal defense) counsel in this bankruptcy case.
Dated: June 28, 2023 at New York, New York.
William R. Baldiga (NY-4813846) BROWN RUDNICK LLP 7 Times Square New York, NY 10036 Tel: (212) 209-4942 Email: wbaldiga@brownrudnick.com
Stephen R. Cook BROWN RUDNICK LLP 2211 Michelson Drive, 7th Floor Irvine, California 92612 Tel: (949) 752-7100 Email [scook@brownrudnick.com]
Stephen A. Best BROWN RUDNICK LLP 601 13th Street, NW, Suite 600 Washington, DC 20005 Tel.: (202) 536-1737 Email: [sbest@brownrudnick.com]
I hereby certify that on June 28, 2023, a copy of foregoing has been filed electronically. Notice of this filing will be sent by e-mail to all parties by operation of the Court's electronic filing system or by mail to anyone unable to accept electronic filing as indicated on the Notice of Electronic Filing. Parties may access this filing through the Court's CM/ECF System.
> /s/ William R. Baldiga William R. Baldiga (NY-4813846)
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