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Case 8:10-bk-16743-TA

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JEFFREY K. GARFINKLE (Cal. State Bar No. 153496) BENJAMIN S. SEIGEL (Cal. State Bar No. 59992) JOSEPH M. WELCH (Cal. State Bar No. 259308) BUCHALTER NEMER A Professional Corporation 18400 Von Karman Avenue, Suite 800 Irvine, California 92612-0514 Telephone: (949) 760-1121 Facsimile: (949) 720-0182 Email: bseigel@buchalter.com jgarfinkle@buchalter.com jwelch@buchalter.com Counsel to the Official Committee of Unsecured Creditors

UNITED STATES BANKRUPTCY COURT CENTRAL DISTRICT OF CALIFORNIA SANTA ANA DIVISION

In re: WESTCLIFF MEDICAL LABORATORIES, INC., Debtor. BIOLABS, INC., Debtor.

Lead Case No.: 8:10-bk-16743-TA Jointly Administered with Case No. 8:10-bk-16746-TA Chapter 11 THIRD INTERIM FEE APPLICATION FOR ALLOWANCE AND PAYMENT OF PROFESSIONAL FEES AND REIMBURSEMENT OF EXPENSES AS COUNSEL FOR THE OFFICIAL COMMITTEE OF UNSECURED CREDITORS FOR THE PERIOD OF NOVEMBER 1, 2010 THROUGH MAY 31, 2011; DECLARATION OF JEFFREY K. GARFINKLE Hearing: Date: June 29, 2011 Time: 10:00 a.m. Place: Courtroom 5B 411 W. Fourth Street Santa Ana, CA 92701-4593

Affects Both Debtors Affects WESTCLIFF MEDICAL LABORATORIES, INC. only Affects BIOLABS, INC. only

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Buchalter Nemer, A Professional Corporation (Buchalter), submits this Third Interim Application for Allowance and Payment of Professional Fees and Reimbursement of Expenses (Application) as counsel for the Official Committee of Unsecured Creditors (the Committee), appointed in the above-captioned Chapter 11 case of Westcliff Medical Laboratories, Inc. (together with BioLabs, Inc., the Debtors). I.

7 INTRODUCTION 8 In accordance with title 11 of the United States Code (Bankruptcy Code) sections 330 9 and 331, Federal Rules of Bankruptcy Procedure 2002(a)(6) and 2016, Local Bankruptcy Rule 10 2016-1 and the United States Trustee Guidelines, Buchalter applies to this Court for an order 11 approving the compensation and reimbursement of fees and expenses incurred as counsel for the 12 Committee during the period from November 1, 2010 through May 31, 2011 (the Third Interim 13 Fee Period). This is Buchalters third fee application. During the Third Interim Fee Period, the 14 fees for legal services provided by Buchalter totaled $79,969.50. Buchalter also incurred 15 expenses in the amount of $7,145.52. During the Third Interim Fee Period, Buchalter received 16 interim payments from the Debtors in the amount of $22,013.18. 17 Over the seven months covered by this Application, Buchalter has efficiently represented 18 the Committee in completing the liquidation of the Debtor. While most of the day-to-day work 19 has been handled by the Debtor, and its counsel, Buchalter has worked with, assisted and 20 monitored all the Debtors activities to ensure that the Debtors liquidation is completed as 21 efficiently and timely as possible. Much of Buchalters work related to the ongoing issues 22 resulting from the Federal Governments antitrust challenges (only recently withdrawn) to the 23 sale of the Debtors assets to Laboratory Corporation of America. With the antitrust challenges 24 now withdrawn and most of the claim objections having already been prosecuted, this case is 25 posed to have a plan proposed and confirmed. 26 27 28
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Ample funds exist to pay all administrative claims in full. Currently, the estate holds approximately $9.0 million in cash, available to be distributed to administrative, priority and unsecured creditors. II.

5 BACKGROUND INFORMATION 6 Per Local Bankruptcy Rule 2016-1(a)(1)(A)(iv), Buchalter incorporates the narrative 7 history provided in the application of Levene, Neale, Bender, Yoo & Brill L.L.P. to be heard 8 contemporaneously by the Court. On or about May 24, 2010, the Office of the United States 9 Trustee held a formation meeting and appointed the Committee. The following day, the 10 Committee selected Buchalter to serve as its bankruptcy counsel. 11 Buchalters employment application (Employment Application) was approved by the 12 Court on July 26, 2010 nunc pro tunc to May 24, 2010 [Docket No. 182] (Employment Order). 13 A copy of the Employment Order is attached as Exhibit 1 to the Declaration of Jeffrey K. 14 Garfinkle (Garfinkle Declaration). 15 On August 4, 2010, Buchalter filed its First Interim Fee Application for professional fees 16 and expenses incurred from May 24, 2010 through July 31, 2010 (First Interim Fees) [Docket 17 No. 191]. Per the Order Granting First Interim Applications for Approval of Fees and 18 Reimbursement of Expenses, filed and entered on September 17, 2010 [Docket No. 242], the 19 Court approved Buchalters First Interim Fees of $142,771.50 and expenses of $3,430.63, for a 20 21 On November 29, 2010, Buchalter filed its Second Interim Fee Application for 22 professional fees and expenses incurred from August 1, 2010 through October 31, 2010 (Second 23 Interim Fees) [Docket No. 301]. Per the Order Granting Second Interim Applications for 24 Approval of Fees and Reimbursement of Expenses, filed and entered on January 5, 2011 [Docket 25 26 27 28
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total of $146,202.13. 1

Debtors paid all but $1.00 of the approved First Interim Fees. In order to balance outstanding invoices (and avoid any confusion in accounting), Buchalter shows a carry-forward balance of $1.00.

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No. 346], the Court approved Buchalters Second Interim Fees of $19,573.50 and expenses in the amount of $2,439.68, for a total of $22,013.18.2 No agreement or understanding has been made by any employee of Buchalter either directly or indirectly for a division of fees requested in this Application with any other person or party, except among employees of Buchalter. Buchalter has not entered into any agreement, written or oral, express or implied, with any other party or party in interest in the above entitled cases for the purpose of fixing the amount of any fees or compensation to be paid to Buchalter except as set forth herein. III.

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SUMMARY OF FEES3 The following summarizes the monthly fees and expenses incurred by Buchalter during

12 the Second Interim Fee Period: 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28


2

Month Balance Forward November 2010

Fees and Expenses

Payment Received

Balance Owed $22,014.18

Fees: $23,505.00 Expenses: $0 Total: $23,505.00 Fees: $14,019.50 Expenses: $107.53 Total: $14,127.03 Fees: $8,035.00 Expenses: $1,758.12 Total: $9,793.12 Fees: $7,422.50 Expenses: $0 Total: $7,422.50

$0

$45,519.18

December 2010

$22,013.18

$37,633.03

January 2011

$0

$47,426.15

February 2011

$0

$54,848.65

Again, Debtors neglected to pay the carry-forward balance of $1.00.

Concurrent with filing the Application, Buchalter is circulating the Application to members of the Committee. In accordance with Local Bankruptcy Rule 2016-1(a)(1)(J), Buchalter will separately file the declaration from a member of the Committee indicating that the Committee has reviewed the Application and has no objection to its approval.
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Doc 487 Filed 06/08/11 Entered 06/08/11 15:37:29 Main Document Page 5 of 13 Fees and Expenses Fees: $13,807.50 Expenses: $4,869.87 Total: $18,677.37 Fees: $10,237.50 Expenses: $248.00 Total: $10,485.50 Fees: $2,942.50 Expenses: $162.00 Total: $3,104.50 Fees: $79,969.50 Expenses: $7,145.52 Total: $87,116.02 Payment Received $0

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Month March 2011

Balance Owed $73,526.02

April 2011

$0

$84,011.52

May 2011

$0

$87,116.02

Grand Totals for 3rd Interim (through 5/31/11)

$22,013.18

$87,116.02

IV. SUMMARY OF SERVICES The services provided during the Third Interim Fee Period are particularly described in the computer generated billing statements attached as Exhibit 2 to the Garfinkle Declaration. The following summarizes Buchalters fees in each category of service: ASSET DISPOSITION Identity Shareholders Jeffrey K. Garfinkle MATTER TOTALS: $525 3.0 3.0 $1,575.00 $1,575.00 Hourly Rate Hours Fees

BUSINESS OPERATIONS Identity Shareholders Jeffrey K. Garfinkle MATTER TOTALS: 4


THIRD INTERIM FEE APPLICATION FOR ALLOWANCE AND PAYMENT OF PROFESSIONAL FEES AND REIMBURSEMENT OF EXPENSES

Hourly Rate

Hours

Fees

$525

.40 .40

$210.00 $210.00

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CASE ADMINISTRATION Identity Shareholders Jeffrey K. Garfinkle Benjamin S. Seigel Senior Counsel Alexandra Rhim Associates Joseph M. Welch (2010 rate) Joseph M. Welch (2011 rate) MATTER TOTALS: $235 $250 .60 .80 29.60 $141.00 $200.00 $15,199.50 $430 .70 $301.00 $525 $625 26.30 1.20 $13,807.50 $750.00 Hourly Rate Hours Fees

CLAIMS AND CLAIMS OBJECTIONS Identity Shareholders Jeffrey K. Garfinkle Benjamin S. Siegel MATTER TOTALS: $525 $625 44.20 .50 44.70 $23,205.00 $312.50 $23,517.50 Hourly Rate Hours Fees

FEE/EMPLOYMENT APPLICATIONS Identity Shareholders Jeffrey K. Garfinkle Associates Anthony J. Napolitano Joseph M. Welch (2010 rate) $350 $235 2.10 11.00 $735.00 $2,232.50 $525 .30 $157.50 Hourly Rate Hours Fees

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Joseph M. Welch (2011 rate) MATTER TOTALS:

$250

2.00 15.40

$500.00 $3,977.50

LITIGATION Identity Hourly Rate Hours Fees

6 Shareholders 7 Jeffrey K. Garfinkle 8 MATTER TOTALS: 9 10 PLAN AND DISCLOSURE STATEMENT 11 Identity 12 Shareholders 13 Jeffrey K. Garfinkle 14 MATTER TOTALS: 15 16 LITIGATION CONSULTING 17 Identity 18 Shareholders 19 Jeffrey K. Garfinkle 20 MATTER TOTALS: 21 22 23 24 25 26 27 28
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$525

46.50 46.50

$24,412.50 $24,412.50

Hourly Rate

Hours

Fees

$525

6.10 6.10

$3,202.50 $3,202.50

Hourly Rate

Hours

Fees

$525

15.00 15.00

$7,875.00 $7,875.00

V. NARRATIVE OF SERVICES Buchalter was retained by the Committee, and authorized by the Court, to advise the Committee and provide legal services with respect to all aspects of the Debtors chapter 11 cases. The billing statements attached to the Garfinkle Declaration as Exhibit 2 contain detailed

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descriptions of the specific services provided. The following is a category-specific summary of those services rendered during the Third Interim Fee Period: (a) Asset Disposition: As the Court is well aware, these cases involved a sale of

substantially all the Debtors assets under a very compressed time period. Buchalter advised the Committee in connection with that sale, as well as the related negotiations with the Debtors and senior secured creditors. As a direct result of Buchalters services, the sale of substantially all the Debtors assets to Laboratory Corporation of America (LabCo) was consummated. Following the closing of that sale, the Federal Government challenged that sale, raising alleged antitrust violations. This challenge resulted in a delay of certain post-closing events. Services provided by Buchalter in this category by Buchalter during the Third Interim Fee Period relate primarily to post-closing issues, including lease assumption/rejection issues with LabCo. In all, Buchalter spent 3.0 hours on matters included in this category at a cost to the estate of $1,575. (b) Business Operations: Services provided in this category include analyzing

monthly status reports to assess the progress of the wind-down and liquidation. Buchalter spent .4 hours in this category at a cost to the estate of $2100.00. (c) Case Administration: Through its representation of the Committee, Buchalter is

required to perform a wide variety of tasks relating to the monitoring and administration of the Debtors bankruptcy cases and the completion of the liquidation. Services provided in this category include preparation and handling court hearings on case management issues including appointment of professionals. Services further include review and analysis of documents exchanged with the United States Trustee related to Debtors cash reports and financial data. Services in this category further include (1) analyzing all bankruptcy issues, including all pleadings filed in the case, (2) communicating with the Committee and advising its members of case status and pending issues, (3) implementing the necessary procedures to adhere to the Committees disclosure obligations under the Bankruptcy Code, (4) communicating with the Debtors counsel regarding ongoing case issues, (5) analyzing and formulating Committee strategies for resolution of the bankruptcy cases, and (6) preparing court pleadings related to case BN 9141577v2 7
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administration. In all, Buchalter spent 29.6 hours on matters included in this category at a cost to the estate of $15,199.50. (d) Claims and Claims Objections: Services provided in this category include

analyzing numerous claims and claims objections filed in the Debtors estates for a liquidating plan. To avoid duplication of efforts, Buchalter worked collaboratively with Debtors counsel with respect to the evaluation of claims and claim objections. While Buchalter reviewed certain large claims, Buchalter allowed the Debtor and its counsel to handle all claim objections, subject to Buchalter reviewing those claim objections on behalf of the Committee. Buchalter spent 44.7 hours in this category at a cost to the estate of $23,517.00. (e) Fee/Employment Applications: Services provided in this category include

(1) preparing Buchalters second and third interim fee applications and (2) analyzing other professional fee applications (including fees and payments to Debtors senior management). Buchalter spent 15.4 hours in this category at a cost to the estate of $3,977.50. (f) Litigation: Services provided in this category include extensive research and

analysis concerning the Labwest, Inc. lawsuit, as well as exploring possible avoidance causes of action. Buchalter spent 46.50 hours in this category at a cost to the estate of $24,412.50. (g) Plan and Disclosure Statement: Services provided in this category include

analysis of, and contributions to, the Debtors disclosure statement for a liquidating plan. Buchalter spent 6.10 hours in this category at a cost to the estate of $3,202.50. (h) Litigation Consulting: Services provided in this category include analyzing

potential avoidance actions. Buchalter spent 15.0 hours in this category at a cost to the estate of $7,875.00.

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In accordance with Local Bankruptcy Rule 2016-1(a)(1)(H), Buchalter offers the following biographical information of the attorneys who performed services in this case during the Third Interim Fee Period:4 (a) Shareholders

Jeffrey K. Garfinkle is a shareholder of Buchalters Insolvency and Financial Solutions Practice Group. Mr. Garfinkle graduated from Emory University School of Law in 1990. Mr. Garfinkle was admitted to practice law in the State of California in 1991. Benjamin S. Seigel is a shareholder of Buchalters Insolvency and Financial Solutions Practice Group. Mr. Seigel graduated from West Los Angeles School of Law in 1974. Mr. Seigel was admitted to practice law in the State of California in 1974. (b) Senior Counsel

J. Alexandra Rhim is a senior counsel in Buchalters Insolvency and Financial Solutions Practice Group. Ms. Rhim graduated from Loyola Law School in 1995. Ms. Rhim was admitted to practice law in the State of California in 1995. (c) Associates

Anthony J. Napolitano was an associate (now senior counsel) of Buchalters Insolvency and Financial Solutions Practice Group. Mr. Napolitano graduated from Loyola Law School in 2003. Mr. Napolitano was admitted to practice law in the State of California in 2003. Joseph M. Welch is an associate of Buchalters Insolvency and Financial Solutions Practice Group. Mr. Welch graduated from Loyola Law School in 2008. Mr. Welch was admitted to practice law in the State of California in 2008.

Additional information on publications or other achievements, and explanation of any specialized background or expertise in bankruptcy related matters for these professionals was attached to the Employment Application as Exhibit 3 and can also be found at www.buchalter.com.
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The costs incurred in connection with the services described in Exhibit 2 can be summarized as follows:

Amount Extended $4.00 $7,128.49 $13.03 $7,145.52

Buchalter has made every effort to limit costs incurred. All costs incurred were reasonable and necessary under the circumstances. As indicated in the Employment Application, Buchalter does not charge the Committee for routine telephone calls, routine copying projects or facsimile transmissions. VIII. CONCLUSION During the Third Interim Fee Period, Buchalter has performed a variety of legal services for the Committee, including advising the Committee on all issues related to the continued administration of the Debtors bankruptcy cases. Buchalter represents that services performed to date have benefitted the Committee and that fees of $79,969.50 and costs of $7,145.52 for the period of November 1, 2010 through May 31, 2011 are fair, reasonable and necessary. WHEREFORE, Buchalter prays that this Court issue an order: (a) Approving the compensation and reimbursement of expenses to Buchalter in

connection with its services as counsel to the Committee as follows:


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Fees: $79,969.50 Costs: $7,145.52 Total: $87,115.02 (b) (c) Authorizing and directing the Debtors to pay Buchalter the sum of $87,116.02; and Granting such other and further relief as the Court deems just and proper.

Dated: June 8, 2011

BUCHALTER NEMER

By: /s/ Jeffrey K. Garfinkle Jeffrey K. Garfinkle Counsel to Official Committee of Unsecured Creditors

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I, Jeffrey K. Garfinkle, declare: 1. I am an attorney duly admitted to practice in the State of California and, inter alia,

all the United States District Courts in California. I am a shareholder of Buchalter Nemer, a Professional Corporation (Buchalter), counsel to the Official Committee of Unsecured Creditors (the Committee), appointed in the above-captioned Chapter 11 case of Westcliff Medical Laboratories, Inc. (together with BioLabs, Inc., the Debtors). 2. This declaration is submitted in support of Buchalters third interim fee application

for allowance and payment of professional fees and reimbursement of expenses (Application). 3. The facts set forth in the Application are, except where otherwise indicated, true of

my own personal knowledge or from my review of Buchalters files and records. 4. Attached to this declaration as Exhibit 1 is a true and correct copy of the order

approving Buchalters employment to represent the Committee. 5. Attached to this declaration as Exhibit 2 are true and correct copies of computer

generated billing statements that detail services performed for the Debtors and costs incurred in connection with those services by Buchalter from November 1, 2010 through May 31, 2011. 6. The amounts requested in the Application for fees and reimbursements of expenses

incurred are based on Buchalters business records kept in the ordinary course of Buchalters business. 7. I have reviewed the requirements of Local Bankruptcy Rule 2016-1 and I believe

that the Application complies with this rule. I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct. If called and sworn as a witness, I could and would competently testify to the above. Executed on June 7, 2011, at Irvine, California. _______/s/ Jeffrey K. Garfinkle ___ JEFFREY K. GARFINKLE 12
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NOTE: When using this form to indicate service of a proposed order, DO NOT list any person or entity in Category I. Proposed orders do not generate an NEF because only orders that have been entered are placed on the CM/ECF docket.

PROOF OF SERVICE OF DOCUMENT


I am over the age of 18 and not a party to this bankruptcy case or adversary proceeding. My business address is: BuchalterNemer, APC, 18400 Von Karman Avenue, Suite 800, Irvine, CA 92612 A true and correct copy of the foregoing document described as THIRD INTERIM FEE APPLICATION FOR ALLOWANCE AND PAYMENT OF PROFESSIONAL FEES AND REIMBURSEMENT OF EXPENSES AS COUNSEL FOR THE OFFICIAL COMMITTEE OF UNSECURED CREDITORS FOR THE PERIOD OF NOVEMBER 1, 2010 THROUGH MAY 31, 2011; DECLARATION OF JEFFREY K. GARFINKLE will be served or was served (a) on the judge in chambers in the form and manner required by LBR 5005-2(d); and (b) in the manner indicated below: Via Overnight Mail I. TO BE SERVED BY THE COURT VIA NOTICE OF ELECTRONIC FILING ("NEF") Pursuant to controlling General Order(s) and Local Bankruptcy Rule(s) ("LBR"), the foregoing document will be served by the court via NEF and hyperlink to the document. On June 8, 2011 , I checked the CM/ECF docket for this bankruptcy case or adversary proceeding and determined that the following person(s) are on the Electronic Mail Notice List to receive NEF transmission at the email address(es) indicated below:

Raymond G Alvarado ralvarado@alvaradosmith.com Todd M Arnold tma@lnbrb.com Phillip Ashman mgolod@mcqueenashman.com, pashman@mcqueenashman.com;bkumamoto@mcqueenashman.com Richard L Barnett rick@barnettrubin.com, rlbsec@barnettrubin.com Ron Bender rb@lnbrb.com Eric S Bershatski ericbershatski@tilemlaw.com, malissamurguia@tilemlaw.com;dianachau@tilemlaw.com Ronald K Brown rkbgwhw@aol.com Jennifer Witherell Crastz jcrastz@hemar-rousso.com Carol J Fogleman mfrost@bwslaw.com Anthony A Friedman aaf@lnbrb.com John-patrick M Fritz jpf@lnbrb.com Jeffrey K Garfinkle bkgroup@buchalter.com, jgarfinkle@buchalter.com;jmealeyhatch@buchalter.com Fredric Glass fglass@fairharborcapital.com Nancy S Goldenberg nancy.goldenberg@usdoj.gov D Edward Hays ehays@marshackhays.com Michael J Heyman michael.heyman@klgates.com Mark D Houle mark.houle@pillsburylaw.com Jacqueline L James jlj@lnbyb.com Jeff D Kahane jkahane@duanemorris.com Andy Kong Kong.Andy@ArentFox.com Rodger M Landau rlandau@lgbfirm.com, kmoss@lgbfirm.com Matthew A Lesnick matt@lesnicklaw.com Michael B Lubic michael.lubic@klgates.com Frank F McGinn ffm@bostonbusinesslaw.com Elissa Miller emiller@sulmeyerlaw.com, asokolowski@sulmeyerlaw.com Aram Ordubegian ordubegian.aram@arentfox.com Ernie Zachary Park ernie.park@bewleylaw.com
This form is mandatory. It has been approved for use by the United States Bankruptcy Court for the Central District of California.

August 2010 BN 9182126v1

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Richard Park Richard.Park@usdoj.gov Justin E Rawlins jrawlins@winston.com, docketla@winston.com Benjamin Seigel bseigel@buchalter.com, IFS_filing@buchalter.com David B Shemano dshemano@pwkllp.com Philip E Strok pstrok@wgllp.com United States Trustee (SA) ustpregion16.sa.ecf@usdoj.gov Howard J Weg hweg@pwkllp.com Sharon Z Weiss sharon.weiss@hro.com Joseph M Welch jwelch@buchalter.com, jmealey-hatch@buchalter.com Johnny White , seb@blakeleyllp.com;bblakeley@blakeleyllp.com;rclifford@blakeleyllp.com
Service information continued on attached page

II. SERVED BY U.S. MAIL OR OVERNIGHT MAIL(indicate method for each person or entity served): , I served the following person(s) and/or entity(ies) at the last known address(es) On June 8, 2011 in this bankruptcy case or adversary proceeding by placing a true and correct copy thereof in a sealed envelope in the United States Mail, first class, postage prepaid, and/or with an overnight mail service addressed as follows. Listing the judge here constitutes a declaration that mailing to the judge will be completed no later than 24 hours after the document is filed. Honorable Theodor C. Albert United States Bankruptcy Court Central District of California 411 West Fourth Street, Suite 5085 Courtroom 5B Santa Ana, CA 92701-4593 [Via Overnight Mail] Westcliff Medical Laboratories, Inc. c/o FTI Consulting 633 West Fifth St 16th Fl Los Angeles, CA 90071 [Via Overnight Mail]

Service information continued on attached page III. SERVED BY PERSONAL DELIVERY, FACSIMILE TRANSMISSION OR EMAIL (indicate method for each person or entity served): Pursuant to F.R.Civ.P. 5 and/or controlling LBR, on , I served the following person(s) and/or entity(ies) by personal delivery, or (for those who consented in writing to such service method), by facsimile transmission and/or email as follows. Listing the judge here constitutes a declaration that personal delivery on the judge will be completed no later than 24 hours after the document is filed.

Service information continued on attached page I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct. June 8, 2011 Date Joanne D. Mealey-Hatch Type Name /s/ Joanne D. Mealey-Hatch Signature

This form is mandatory. It has been approved for use by the United States Bankruptcy Court for the Central District of California. August 2010 BN 9182126v1

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SERVED BY U.S. MAIL OR OVERNIGHT MAIL Continued:


Trustees Frank Cadigan Nancy Goldenberg Terry Biers Office of the U.S. Trustee 411 West Fourth St. Suite 9041 Santa Ana, CA 92701 [Via NEF] Counsel for LGSM Laguna Hills LLC Ronald K. Brown, Jr. Law Offices of Ronald K. Brown, Jr. 901 Dove Street, Suite 120 Newport Beach, CA 92660 [Via NEF] Request for Special Notice Counsel for Health Net, Inc Pillsbury Winthrop Shaw Pittman LLP Attn: Mark D. Houle, Esq. * 650 Town Center Drive, Suite 700 Costa Mesa, CA 92626-7122 [Via NEF] Request for Special Notice Rita A. Woodard Treasurer-Tax Collector 221 S. Mooney Blvd., Room 104-E Visalia, CA 93291-4593 [Via U.S. Mail] Request for Special Notice Los Angeles County Treasurer and Tax Collector P.O. Box 54110 Los Angeles, CA 90054-0110 Counsel for LGSM Laguna Hills, LLC [Via U.S. Mail]

Request for Special Notice Robert Brill, Of Counsel Grant Callison, VP Cambridge Healthcare Properties, Inc. 1717 Main Street, 59th Floor Dallas, TX 75201 [Via U.S. Mail] Debtors Corporate Counsel Michael Dolan/Carl Pickerill/Jason Osborn Kirkland & Ellis LLP 300 North LaSalle Chicago, Illinois 60654 [Via U.S. Mail]

Department of Health Care Services Steven A. Oldham, Sr. Staff Atty State of CA, Dept. of Health Care Services Office of Legal Services-MS 0010 P.O. Box 997413 Sacramento, CA 95899-7413 [Via U.S. Mail]

Request for Special Notice City and County of San Francisco Treasurer/Tax Collector-Legal Section; Attn Robert L. Fletcher, Jr. P.O. Box 7426 San Francisco, CA 94120-7426 [Via U.S. Mail]

Counsel to Creditor Google Scott E. Blakeley/Johnny White Blakeley & Blakeley 2 Park Plaza, Suite 400 Irvine, CA 92614 [Via NEF]

Counsel for Hologic, Inc. and Third Wave Technologies Jonathan Braverman Baker, Braverman & Barbadoro P.C. 50 Braintree Hill Office Park, Suite 108 Braintree, MA 02184-8734 [Via U.S. Mail Debtors Healthcare Counsel David W. Gee GARVEY SCHUBERT BARER 1191 Second Avenue, 18th Floor Seattle, Washington 98101-2939 [Via U.S. Mail]

Counsel for ACE Ron Oliner Duane Morris LLP Suite 2200 One Market Plaza, Spear Tower San Francisco, CA 94105-1127 [Via U.S. Mail]

Counsel for ACE Jeff Kahane NEF * Duane Morris LLP 865 S. Figueroa Street, Suite 3100 Los Angeles, CA 90017-5450 [Via NEF]

Debtors Investment Banker And Financial Advisor Curtis Lane MTS Partners 623 Fifth Avenue, 14th Floor New York, NY 10022 [Via U.S. Mail] Debtors Chief Restructuring Officer Matthew Pakkala FTI Consulting 633 West 5th Street, 16th Floor Los Angeles, CA 90071-2027 [Via U.S. Mail]

Debtors Special Litigation Counsel Tae J. Im, Esq. Callahan & Blaine 3 Hutton Centre Drive, Ninth Floor Santa Ana, CA 92707 [Via U.S. Mail]

Counsel for MTS Brian E. Greer Dechert LLP 1095 Avenue of the Americas New York, NY 10036-6797 [Via U.S. Mail]

This form is mandatory. It has been approved for use by the United States Bankruptcy Court for the Central District of California. August 2010 BN 9182126v1

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Creditor Committee Specialty Laboratories Attn: Sharon Z. Weiss Holes Roberts & Owens LLP 800 West Olympic Boulevard 4th Floor Los Angeles, CA 90015-1367 [Via U.S. Mail] Diasorin, Inc. Attn: Neal Domeyer 1951 Northwestern Avenue P.O. Box 285 Stillwater, MN 55082 [Via U.S. Mail] Genzyme Corporation Attn: D. Ross Martin Ropes & Gray LLP One International Place Boston, MA 02110 [Via U.S. Mail]

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Siemens Healthcare Diagnostics Attn: Yesim Brisbane P.O. Box 6101, MS 802 Newark, DE 19714-6101 [Via U.S. Mail]

Roche Diagnostics Corporation Attn: Wayne Mathias 9115 Hague Road Indianapolis, IN 46250 [Via U.S. Mail]

Qiagen Attn: Jonathan Issac 1201 Clopper Road Gaithersburg, MD 20878 [Via U.S. Mail]

Irvine Corporate Center, LLC Attn: Jim Savory 252 Clayton Street Denver, CO 90206 [Via U.S. Mail]

This form is mandatory. It has been approved for use by the United States Bankruptcy Court for the Central District of California. August 2010 BN 9182126v1

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