Evidence Record

Court Filing - Receiver's Final Report and Motion - Robert W. Berleth, Court-Appointed Receiver

1. The work performed by Receiver in this Receivership to date includes, without limitation, the following: researching the latest developments in relevant turnover receivership law, communications with Plaintiff's counsel, communications with Defendant's counsel, communications...

Type
document
Date
May 22, 2025 - May 27, 2026
Pages
11
Lines
446
SHA-256
19775b522d82

DISTIL analysis

DISTIL Run
Profile
Standard
Version
1
Doc Type
Court Filing - Receiver's Final Report and Motion
Total Nodes
33
Node Legend
Entity (ENT)
Event (EVT)
Claim (CLM)
Anchor (ANC)
Omission (OMI)
Tension (TEN)
Tell (TEL)
Inference (INF)
Hypothesis (HYP)
Stage 1
Index
Orientation · No nodes
Document Classification
Court Filing - Receiver's Final Report and Motion Robert W. Berleth, Court-Appointed Receiver Commercial Litigation - Turnover Receivership May 22, 2025 - May 27, 2026
financial_distributionunpaid_employee_claimspotential_serial_receiverships
Analytical Frame
Judgment Collection and Asset Recovery
Analytical Summary
This is a final receiver's report in a Harris County judgment enforcement case where Atlantic Wave Holdings and Secure Community obtained a judgment against Cyberlux Corporation and Mark D. Schmidt. Court-appointed Receiver Robert Berleth reports recovering $3,083,639.75—the full judgment amount—and proposes distribution: $873,639.75 to satisfy the judgment, $722,728.68 for receiver expenses, $1,017,601.11 as receiver's fee (33% of recovery), and $469,670.21 for unpaid Cyberlux employees. The receiver seeks court approval for these disbursements, requests a $150,000 appellate bond, and moves to terminate the receivership. The filing reveals awareness of potential subsequent TRO/receivership actions and indicates the receiver liquidated inventory and took possession of real property during the one-year receivership period.
Key Points
  • Receiver recovered full judgment amount of $3,083,639.75 from Cyberlux Corporation
  • Proposes 33% receiver fee ($1,017,601.11) plus $722,728.68 in expenses
  • $469,670.21 allocated for unpaid Cyberlux employees at Spring, Texas facility
  • Receiver aware of potential serial receiverships to follow upon termination
  • One-year receivership involved inventory liquidation and real property possession
Stage 2
Core — Entities, Events, Claims
16 nodes
ENT-001
Entity
Atlantic Wave Holdings, LLC
Plaintiff and judgment-creditor in receivership action seeking to collect judgment against Cyberlux Corporation
Page 1 — ATLANTIC WAVE HOLDINGS, LLC and SECURE COMMUNITY, LLC., Plaintiffs, Judgment-Creditors
ENT-002
Entity
Secure Community, LLC
Co-plaintiff and judgment-creditor alongside Atlantic Wave Holdings in the underlying judgment
Page 1 — ATLANTIC WAVE HOLDINGS, LLC and SECURE COMMUNITY, LLC., Plaintiffs, Judgment-Creditors
ENT-003
Entity
Cyberlux Corporation
Judgment-debtor corporation subject to receivership; operated a manufacturing facility in Spring, Texas with unpaid employees
Page 1, 5 — CYBERLUX CORPORATION and MARK D. SCHMIDT, individually, Defendants, Judgment-Debtors
ENT-004
Entity
Mark D. Schmidt
Individual judgment-debtor named alongside Cyberlux Corporation in the receivership action
Page 1 — CYBERLUX CORPORATION and MARK D. SCHMIDT, individually, Defendants, Judgment-Debtors
ENT-005
Entity
Robert W. Berleth
Court-appointed receiver responsible for asset recovery, inventory liquidation, and fund distribution; associated with Berleth & Associates law firm
Page 1, 6 — COMES NOW, Robert W. Berleth, of Berleth, as Receiver, appointed by this Honorable Court as Receiver on May 22, 2025
ENT-006
Entity
Unpaid Cyberlux Employees
Workers at the Cyberlux Spring, Texas manufacturing facility who remain unpaid and are designated to receive $469,670.21 from receivership proceeds
Page 3, 5 — $469,670.21 to be disbursed to the employees of Cyberlux, that remain unpaid... distribute $469,670.21 to the previous unpaid employees of Cyberlux at the Spring, Texas manufacturing facility
EVT-001
Event
Receiver Appointment
Robert W. Berleth appointed as receiver by the 129th District Court on May 22, 2025
Page 1 — appointed by this Honorable Court as Receiver on May 22, 2025
EVT-002
Event
Asset Recovery
Receiver recovered total of $3,083,639.75 from judgment-debtors, representing the full balance owed on the judgment
Page 2 — In accordance with the Order, The Receiver has recovered from the Debtor $3,083,639.75, the balance owed on the Judgment Calculation
EVT-003
Event
Inventory Liquidation
Receiver took physical possession of real property and supervised inventory and shipment of goods in a commercially reasonable manner
Page 2 — taking physical possession of the real property, engaging and supervising the inventory and shipment of goods in a commercially reasonable manner
EVT-004
Event
Final Report Filing
Receiver filed Fifth and Final Report with proposed fund disbursements and motion to terminate receivership on May 27, 2026
Page 1 — 5/27/2026 4:03 PM Marilyn Burgess - District Clerk Harris County Envelope No. 115406488
CLM-001
Claim
Full Judgment Recovery
Receiver asserts recovery of the complete judgment amount of $3,083,639.75, constituting full satisfaction of the Harris County judgment
Page 2 — The Receiver has recovered from the Debtor $3,083,639.75, the balance owed on the Judgment Calculation
CLM-002
Claim
Receiver Fee Entitlement
Receiver claims entitlement to presumptive 33% fee ($1,017,601.11) based on full judgment collection
Page 2 — The receiver collected the full amount of the judgment, and is thus entitled to his presumptive fee of 33% of the total amount collected
CLM-003
Claim
Expense Reasonableness
Receiver claims $722,728.68 in expenses were necessary to complete receivership and inventory shipment
Page 2 — The receiver incurred expenses of $722,728.68. These expenses were necessary to complete the receivership and shipment of the final inventory
CLM-004
Claim
Actions Were Reasonable
Receiver asserts all actions taken during receivership were reasonable and necessary under applicable law
Page 2 — It is the Receiver's opinion the Receiver's actions in this receivership to date were reasonable and necessary
CLM-005
Claim
Judgment Satisfaction Amount
Plaintiff entitled to receive $873,639.75 representing full and final satisfaction of Harris County judgment in Cause No. 2024-48085
Page 3 — $873,639.75 to Plaintiff, reflecting full and final satisfaction of the Harris county court judgment, Cause No. 2024-48085
CLM-006
Claim
Employee Payment Priority
Unpaid Cyberlux employees at Spring, Texas facility entitled to receive $469,670.21 from remaining receivership funds
Page 3 — $469,670.21 to be disbursed to the employees of Cyberlux, that remain unpaid
Stage 3
In Situ — Quotations, Tells, Tensions, Questions
11 nodes
QUO-001
Quotation
Verification Statement
Receiver's sworn verification of facts: 'My name is Robert Berleth. I am the appointed Receiver in the above-styled case and I have personal knowledge of the facts contained and asserted herein. The facts contained herein are true and correct and I am fully authorized to make this affidavit.'
Page 7 — My name is Robert Berleth. I am the appointed Receiver in the above-styled case and I have personal knowledge of the facts contained and asserted herein. The facts contained herein are true and correct and I am fully authorized to make this affidavit.
QUO-002
Quotation
Submission Timing Notice
Procedural notice language: 'MOTION IS FILED WITH THE COURT WITHIN FIVE DAYS OF THE DATE OF SERVICE, THE COURT MAY GRANT THE RELIEF REQUESTED WITHOUT FURTHER NOTICE OF HEARING.'
Page 1 — MOTION IS FILED WITH THE COURT WITHIN FIVE DAYS OF THE DATE OF SERVICE, THE COURT MAY GRANT THE RELIEF REQUESTED WITHOUT FURTHER NOTICE OF HEARING.
TLL-001
Tell
Receiver Activities Enumeration
Receiver provides detailed list of work performed including legal research, communications with counsel and creditors, document review, property possession, inventory management, fund accounting, and court filings
Page 1, 2 — researching the latest developments in relevant turnover receivership law, communications with Plaintiff's counsel, communications with Defendant's counsel, communications with other creditors, reviewing records concerning Defendant, preparing and filing the Receiver Oath, posting bond, taking physical possession of the real property, engaging and supervising the inventory and shipment of goods in a commercially reasonable manner, receiving and accounting for recovered funds, physical reconnoiter of the debtors going concerns, and preparing and filing this Receiver's Verified Motion for Disbursement and the proposed Order
TLL-002
Tell
Awareness of Serial Receiverships
Receiver explicitly states awareness of potential subsequent TRO/receivership proceedings that will activate upon termination of current receivership
Page 2 — The receiver is aware of several potential TRO/serial receiverships that will take effect upon the termination of this receivership
TLL-003
Tell
Distribution Priority Structure
Receiver specifies conditional distribution order for employee funds: transfer to next receivership if present, otherwise distribute to unpaid employees within 45 days
Page 5 — Receiver disburse the remaining $469,670.21 in the following order of possibility: i. Transfer the funds to the next receivership, if present; or then, ii. Within 45 days of this order, distribute $469,670.21 to the previous unpaid employees of Cyberlux at the Spring, Texas manufacturing facility, until the funds are exhausted
TEN-001
Tension
Employee Payment vs. Serial Receiverships
Structural tension between unpaid employee claims and potential subsequent receivership actions, with employee distribution conditional on absence of follow-on receiverships
Page 2, 5 — The receiver is aware of several potential TRO/serial receiverships that will take effect upon the termination of this receivership... Transfer the funds to the next receivership, if present; or then... distribute $469,670.21 to the previous unpaid employees
TEN-002
Tension
High Fee Percentage on Employee Debts
Tension between receiver claiming 33% presumptive fee plus substantial expenses while unpaid employees receive only remaining funds after these deductions
Page 2, 3 — entitled to his presumptive fee of 33% of the total amount collected... The receiver incurred expenses of $722,728.68... $469,670.21 to be disbursed to the employees of Cyberlux, that remain unpaid
QST-001
Question
Expense Detail Justification
What specific activities comprised the $722,728.68 in receiver expenses, particularly regarding inventory shipment costs?
Page 2 — The receiver incurred expenses of $722,728.68. These expenses were necessary to complete the receivership and shipment of the final inventory
QST-002
Question
Creditor Identity
Who are the 'other creditors' the receiver communicated with during the receivership, and what are their claims?
Page 1, 2 — communications with other creditors... The receiver is aware of several potential TRO/serial receiverships
QST-003
Question
Appellate Bond Calculation
How was the $150,000 appellate bond amount determined, and what relationship does it bear to the total distribution amounts?
Page 3 — the Receiver requests that this Court set the supersedeas/appellate bond in the amount of $150,000.00
QST-004
Question
Employee Count and Distribution
How many unpaid employees exist, what are their individual claims, and how will the $469,670.21 be allocated among them?
Page 5 — distribute $469,670.21 to the previous unpaid employees of Cyberlux at the Spring, Texas manufacturing facility, until the funds are exhausted
Stage 4
Interpretive — Inferences, Omissions, Patterns
6 nodes
INF-001
Inference
Multiple Creditor Competition
The existence of multiple potential serial receiverships suggests Cyberlux faced claims from numerous creditors beyond the judgment-creditors in this action, indicating broader financial distress
Page 2 — The receiver is aware of several potential TRO/serial receiverships that will take effect upon the termination of this receivership
INF-002
Inference
Asset Liquidation Strategy
The receiver's possession of real property and inventory shipment suggests a liquidation-focused strategy rather than business preservation, with proceeds used to satisfy judgment and administrative costs
Page 2 — taking physical possession of the real property, engaging and supervising the inventory and shipment of goods in a commercially reasonable manner... recovered from the Debtor $3,083,639.75
INF-003
Inference
Employee Claims Subordination
Unpaid employees are effectively subordinated to judgment creditors and receiver fees, receiving only residual funds after $2.6M+ in other distributions from a $3M recovery
Page 3 — $873,639.75 to Plaintiff... $722,728.68 to the Receiver as reasonable and incurred expenses... $1,017,601.11 as the Receiver's Fee... $469,670.21 to be disbursed to the employees
OMI-001
Omission
Missing Expense Detail
The receiver asserts $722,728.68 in expenses without itemization or detailed justification, despite this representing nearly 23% of total recovery
Page 2 — The receiver incurred expenses of $722,728.68. These expenses were necessary to complete the receivership and shipment of the final inventory
OMI-002
Omission
No Recovery Source Disclosure
Document does not disclose the source(s) of the $3,083,639.75 recovery—whether from property sale, inventory liquidation, account seizure, or other means
Page 2 — The Receiver has recovered from the Debtor $3,083,639.75
OMI-003
Omission
No Employee Claim Documentation
No details provided about the basis, calculation, or validation of unpaid employee claims totaling $469,670.21
Page 3 — $469,670.21 to be disbursed to the employees of Cyberlux, that remain unpaid

Extracted text

11 pages · 13861 characters

126897970 — Formatted Extract

Type: document
Filing Header

ATLANTIC WAVE HOLDINGS, LLC § IN THE DISTRICT COURT and SECURE COMMUNITY, LLC., § Plaintiffs, Judgment-Creditors, § § V. § § 129TH JUDICIAL COURT

CYBERLUX CORPORATION and §

§ IN AND FOR

MARK D. SCHMIDT, individually, Defendants, Judgment-Debtors. § HARRIS COUNTY, TEXAS

RECEIVER'S FIFTH AND FINAL REPORT, FINAL ACCOUNTING, VERIFIED MOTION FOR DISBURSEMENT OF FUNDS, AND MOTION TO TERMINATE RECEIVERSHIP

MOTION IS FILED WITH THE COURT WITHIN FIVE DAYS OF THE DATE OF SERVICE, THE COURT MAY GRANT THE RELIEF REQUESTED WITHOUT FURTHER NOTICE OF HEARING.

TO THE HONORABLE JUDGE OF SAID COURT:

COMES NOW, Robert W. Berleth, of Berleth, as Receiver, appointed by this Honorable Court as Receiver on May 22, 2025 hereinafter the "Order" to take and files this Receiver's Fifth (Final Report, Final Accounting, Verified Motion for Disbursement of Funds, and Motion to Terminate Receivership, and for good cause shows the following:

A. REPORT OF RECEIVER
1.
The work performed by Receiver in this Receivership to date includes, without limitation, the following: researching the latest developments in relevant turnover receivership law, communications with Plaintiff's counsel, communications with Defendant's counsel, communications with other creditors,

reviewing records concerning Defendant, preparing and filing the Receiver Oath, posting bond, taking physical possession of the real property, engaging and supervising the inventory and shipment of goods in a commercially reasonable manner, receiving and accounting for recovered funds, physical reconnoiter of the debtors going concerns, and preparing and filing this Receiver's Verified Motion for Disbursement and the proposed Order.

2.
In accordance with the Order, The Receiver has recovered from the Debtor $3,083,639.75, the balance owed on the Judgment Calculation.
3.
It is the Receiver's opinion the Receiver's actions in this receivership to date were reasonable and necessary. It is the Receiver's belief all expenses and fees incurred during the receivership is a customary, reasonable, and necessary fee for the services rendered in Harris County, Texas. The receiver collected the full amount of the judgment, and is thus entitled to his presumptive fee of 33% of the total amount collected.
4.
The receiver incurred expenses of $722,728.68. These expenses were necessary to complete the receivership and shipment of the final inventory.
5.
The receiver is aware of several potential TRO/serial receiverships that will take effect upon the termination of this receivership.
B. COLLECTIONS ACCOUNTING
6.
During the receivership there have been funds totaling $3,083,639.75 which are being held in trust for this receivership.
7.
The Receiver recommends and has disburse funds as follows:

a. $873,639.75 to Plaintiff, reflecting full and final satisfaction of the Harris county court judgment, Cause No. 2024-48085, styled Atlantic Waves Holdings, LLC, et al. v. Cyberlux Corporation et al. in the 129th District Court, Harris County.

b. $722,728.68 to the Receiver as reasonable and incurred expenses in the prosecution of the receivership, to be taxed as a cost of court.

c. $1,017,601.11 as the Receiver's Fee to be taxed as a cost of court.

d. $469,670.21 to be disbursed to the employees of Cyberlux, that remain unpaid.

e. Any incidental interest, fractional cents, or small calculation errors to be forwarded to the Texas Access to Justice Foundation.

8.
As of date of this filing, the Receiver has distributed funds, to the Creditor. The Receiver's funds are being held by the Receiver for distribution in trust.
C. APPELLATE BOND
9.
Pursuant to Texas Rule of Appellate Procedure 24 and Texas law, the Receiver requests that this Court set the supersedeas/appellate bond in the amount of $150,000.00. The Receiver further requests that the bond be accepted in cash or by an approved surety and that the Clerk be authorized

to issue any necessary bond paperwork or order as required to effectuate the stay of enforcement pending appeal. Alternatively, if the Court requires a different form of security, the Receiver requests leave to post such security in conformity with the Court's directions.

D. MOTION TO TERMINATE
10.
The Receivership has completed with no further remaining issues pending the final distribution of funds as detailed above. The Receiver has fulfilled his obligations required by law. The Receiver moves the Court order the judgment satisfied and Receivership terminated. Effective on the of entry of the Termination Order, the Receivership be terminated, the Receiver be discharged, and the Receivership cease to exist as a legal entity.
E.PRAYER
11.
WHEREFORE, Receiver prays that this Motion be considered by submission more than five days from the date of service to Judgment Defendants or, alternatively, by oral hearing, and that after consideration of the Motion, the Court grant Receiver's Verified Motion, and that this Court order the following:

a. The Receiver Fee is reasonable. The Receiver's actions to date during this receivership were reasonable;

f. Receiver has disbursed $873,639.75 to Plaintiff's Counsel, reflecting full and final satisfaction of the Harris county court judgment, Cause

No. 2024-48085, styled Atlantic Waves Holdings, LLC, et al. v. Cyberlux Corporation et al. in the 129th District Court, Harris County.

b. Receiver disburse $722,728.68 to the Receiver as reasonable and incurred expenses in the prosecution of the receivership, to be taxed as a cost of court.

c. Receiver disburse $1,017,601.11 as the Receiver's Fee to be taxed as a cost of court.

d. Receiver disburse the remaining $469,670.21 in the following order of possibility:

i. Transfer the funds to the next receivership, if present; or then,

ii. Within 45 days of this order, distribute $469,670.21 to the previous unpaid employees of Cyberlux at the Spring, Texas manufacturing facility, until the funds are exhausted.

e. The Receivership be terminated; and,

f. Such other and further relief which Receiver is justly entitled.

SIGNATURE PAGE FOLLOWS:

Unofficial Foppapriceof ManlyneBurgess Distifst Clerto

Respectfully submitted by:

RXBAL

BERLETH & ASSOCIATES Robert W. Berleth Texas Bar # 24091860 SDOT #: 3062288 rberleth@berlethlaw.com 9950 Cypresswood, Suite 200 Houston, Texas 77070 Tele: 713-588-6900 Fax: 713-481-0894

APPOINTED RECEIVER

Unofficial Copy Office of Marilyn Burgess %%

VERIFICATION

STATE OF TEXAS § § COUNTY OF HARRIS §

BEFORE ME, the undersigned authority on this day personally appeared Robert Berleth, who, being by me duly sworn upon oath deposed and stated as follows:

"My name is Robert Berleth. I am the appointed Receiver in the above- styled case and I have personal knowledge of the facts contained and asserted herein. The facts contained herein are true and correct and I am fully authorized to make this affidavit."

RIBAL

Robert Berleth

APPOINTED RECEIVER

SWORN TO AND SUBSCRIBED before me by Robert Berleth on Wednesday, May 27, 2026, to certify which, witness my hand and seal of office.

SHELL MARIE DAVIS Notary Public, State of Texas Comm. Expires 02-25-2029 Notary ID 132943751

Printed Name:

My Commission Expires:

Sono

Notary Public in and for the State of Texas

Sheli Marie Davis

April 25, 2029

marcial Co's Office of Marilyn Burmese District Ganska

CERTIFICATE OF SERVICE

I hereby certify that on Wednesday, May 27, 2026, a true and correct copy of the above and foregoing was forwarded to all counsel of record via certified mail, return receipt requested, regular mail, e-mail and/or facsimile. Electronic records were also forwarded in accordance with local rules through the E-file or CM/ECF system.

Respectfully submitted by: RABAL

BERLETH & ASSOCIATES

Texas Bar # 24091860

SDOT #: 3062288

E-mail: rberleth@berlethlaw.com

Tristian Harris Texas Bar # 24134449

E-mail: tharris@berlethlaw.com 9950 Cypresswood Dr. Suite 200 Tele: 713-588-6900

APPOINTED RECEIVER

Automated Certificate of eService

This automated certificate of service was created by the efiling system. The filer served this document via email generated by the efiling system on the date and to the persons listed below. The rules governing certificates of service have not changed. Filers must still provide a certificate of service that complies with all applicable rules.

Sheli Davis on behalf of Robert Berleth Bar No. 24091860 sdavis@berlethlaw.com Envelope ID: 115406488

Filing Code Description: Motion (No Fee)

Filing Description: Receivers Fifth and Final Report, Final Accounting, verified Motion for Disbursement of Funds and Motion to Terminate Receivership Status as of 5/28/2026 8:57 AM CST

Case Contacts

Name

BarNumber

Email

TimestampSubmitted

Status

Ashish Mahendru

amahendru@thelitigationgroup.com torgess Distre,& Clerk

5/27/2026 4:03:49 PM

SENT

Darren AndrewBraun

dbraun@thelitigationgroup.com Fs

5/27/2026 4:03:49 PM

SENT

M. H. Cersonsky

mhcersonsky@law.cmpc.com anteny

5/27/2026 4:03:49 PM

SENT

Evan A.Moeller

evan.moeller@arlaw.com

5/27/2026 4:03:49 PM

SENT

Evan A.Moeller

evan.moeller@arlaw.com Tea

5/27/2026 4:03:49 PM

SENT

Danielle Butler

dbutler@thelitigationgroup.com Holen

5/27/2026 4:03:49 PM

SENT

LaDonna Arey

LArey@bellnunnally.com

5/27/2026 4:03:49 PM

SENT

Linda Carranza

:selected: Cara carranza@thompsoncoburn.com

5/27/2026 4:03:49 PM

SENT

Elizabeth Myers

emyers@thompsoncoburn.com

5/27/2026 4:03:49 PM

SENT

Tara Rollin

tara.rollin@arlaw.com

5/27/2026 4:03:49 PM

SENT

Robert W.Berleth

rberleth@berlethlaw.com

5/27/2026 4:03:49 PM

SENT

David A.Walton

dwalton@bellnunnally.com

5/27/2026 4:03:49 PM

SENT

Travis Vargo

tvargo@vargolawfirm.com

5/27/2026 4:03:49 PM

SENT

Micah Jackson

mjackson@berlethlaw.com

5/27/2026 4:03:49 PM

SENT

Brice BBeale

beale@hooverslovacek.com

5/27/2026 4:03:49 PM

SENT

Mary Jahn

mary.jahn@arlaw.com

5/27/2026 4:03:49 PM

SENT

Shawn Grady

shawn@gradycollectionlaw.com

5/27/2026 4:03:49 PM

SENT

Shawn Grady

shawn@gradycollectionlaw.com

5/27/2026 4:03:49 PM

SENT

Jeff Brown

jbrown@thompsoncoburn.com

5/27/2026 4:03:49 PM

SENT

Paula Gentry

pgentry@thompsoncoburn.com

5/27/2026 4:03:49 PM

SENT

Bernadette Martin

bernadette@gradycollectionlaw.com

5/27/2026 4:03:49 PM

SENT

Automated Certificate of eService

This automated certificate of service was created by the efiling system. The filer served this document via email generated by the efiling system on the date and to the persons listed below. The rules governing certificates of service have not changed. Filers must still provide a certificate of service that complies with all applicable rules.

Sheli Davis on behalf of Robert Berleth Bar No. 24091860 sdavis@berlethlaw.com Envelope ID: 115406488

Filing Code Description: Motion (No Fee)

Filing Description: Receivers Fifth and Final Report, Final Accounting, verified Motion for Disbursement of Funds and Motion to Terminate Receivership Status as of 5/28/2026 8:57 AM CST

Case Contacts

Bernadette Martin

bernadette@gradycollectionlaw.com

5/27/2026 4:03:49 PM

SENT

Bernadette Martin

bernadette@gradycollectionlaw.com

5/27/2026 4:03:49 PM

SENT

Records Department

Records@bellnunnally.com

5/27/2026 4:03:49 PM

SENT

Michael Poynter

mpoynter@vargolawfirm.com

5/27/2026 4:03:49 PM

SENT

Emory Powers

emory.powers@arlaw.com

5/27/2026 4:03:49 PM

SENT

Emory Powers

emory.powers@arlaw.com

5/27/2026 4:03:49 PM

SENT

Caroline Pritikin

cpritikin@thompsoncoburn.com

5/27/2026 4:03:49 PM

SENT

Laurie DeBardeleben

Idebardeleben@thompsoncoburn.com

5/27/2026 4:03:49 PM

SENT

Roxanna Lock

:selected: flock@thompsoncoburn.com

5/27/2026 4:03:49 PM

SENT

Frankie Huff

fhuff@thompsoncoburn.com

5/27/2026 4:03:49 PM

SENT

Alex Pennetti

apennetti@thompsoncoburn.com

5/27/2026 4:03:49 PM

SENT

Sheli Davis

sdavis@berlethlaw.com

5/27/2026 4:03:49 PM

SENT

Tristian Harris

tharris@berlethlaw.com

5/27/2026 4:03:49 PM

SENT

Corinne Martin

cmartin@berlethlaw.com

5/27/2026 4:03:49 PM

SENT

Douglas S.Lang

dlang@thompsoncoburn.com

5/27/2026 4:03:49 PM

SENT

Hannah Fischer

hfischer@thompsoncoburn.com

5/27/2026 4:03:49 PM

SENT

Polly Bates

polly.bates@vkhh.com

5/27/2026 4:03:49 PM

SENT

Alayna EllenAbbott

aabbott@law-cmpc.com

5/27/2026 4:03:49 PM

SENT

Edward W.Gray, Jr.

EGray@thompsoncoburn.com

5/27/2026 4:03:49 PM

SENT

Daniel AArdmore

ardmorelawfirm@gmail.com

5/27/2026 4:03:49 PM

SENT

VHH EFILE

efile@vkhh.com

5/27/2026 4:03:49 PM

SENT

Monica Rodriguez

monica.rodriguez@arlaw.com

5/27/2026 4:03:49 PM

SENT

Automated Certificate of eService

This automated certificate of service was created by the efiling system. The filer served this document via email generated by the efiling system on the date and to the persons listed below. The rules governing certificates of service have not changed. Filers must still provide a certificate of service that complies with all applicable rules.

Sheli Davis on behalf of Robert Berleth Bar No. 24091860 sdavis@berlethlaw.com Envelope ID: 115406488

Filing Code Description: Motion (No Fee)

Filing Description: Receivers Fifth and Final Report, Final Accounting, verified Motion for Disbursement of Funds and Motion to Terminate Receivership Status as of 5/28/2026 8:57 AM CST

Case Contacts

Monica Rodriguez

monica.rodriguez@arlaw.com

5/27/2026 4:03:49 PM

SENT

Daniel AArdmore

daniel.ardmore@ardmorelawfirm.com

5/27/2026 4:03:49 PM

SENT

Farah Ardmore

farah.ardmore@ardmorelawfirm.com

5/27/2026 4:03:49 PM

SENT

Jocelin A. Tapia

jtapia@thompsoncoburn.com

5/27/2026 4:03:49 PM

SENT

Jemisha Gandhi

jgandhi@bellnunnally.com

5/27/2026 4:03:49 PM

SENT

David M.Keithly

dkeithly@mortensontaggart.com

5/27/2026 4:03:49 PM

SENT

Tia Archuleta

tia.archuleta@ecf.courtdrive.com

5/27/2026 4:03:49 PM

SENT

Tia Archuleta

tia.archuleta@vkhh.com

5/27/2026 4:03:49 PM

SENT

Austin DPriddy

:selected: Austin.Priddy@vkhh.com

5/27/2026 4:03:49 PM

SENT

Unofficial Copy

Original source file

Open source
File
Court Filing - Receiver's Final Report and Motion - Robert W. Berleth, Court-Appointed Receiver
Source UID
source:19775b522d827a8c446338e4d0b7c650d1807fb8103268a60e53a8ea7986531e
Full SHA-256
19775b522d827a8c446338e4d0b7c650d1807fb8103268a60e53a8ea7986531e