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BRIGHTHAUPT v. DIST. OF COLUMBIA, 36 F.Supp.3d 1 (2014)

Court: District Court, D. Columbia Number: infdco20140402e04 Visitors: 33
Filed: Apr. 02, 2014
Latest Update: Apr. 02, 2014
Summary: MEMORANDUM OPINION AND ORDER JOHN M. FACCIOLA , UNITED STATES MAGISTRATE JUDGE . This case was referred to me for all purposes. Currently pending and ready for resolution are 1) Plaintiffs' Motion for Summary Judgment [# 14], and 2) Defendant's Opposition to Plaintiffs' Motion for Summary Judgment and Cross-Motion for Summary Judgment [# 16]. INTRODUCTION Plaintiffs in this case are 1) Lakesia Brighthaupt and her child, J.B.; 2) Monica Browne and her child, M.Y.; and 3) Ja'Quelle Yeag
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MEMORANDUM OPINION AND ORDER

This case was referred to me for all purposes. Currently pending and ready for resolution are 1) Plaintiffs' Motion for Summary Judgment [# 14], and 2) Defendant's Opposition to Plaintiffs' Motion for Summary Judgment and Cross-Motion for Summary Judgment [# 16].

INTRODUCTION

Plaintiffs in this case are 1) Lakesia Brighthaupt and her child, J.B.; 2) Monica Browne and her child, M.Y.; and 3) Ja'Quelle Yeager and her child, J.Y. Complaint [# 1] ¶¶ 2-4. The defendant is the District of Columbia, which operates the District of Columbia Public Schools system ("DCPS"). [# 1] ¶ 5. In this action, plaintiffs seek an award of attorney's fees under the Individuals with Disabilities Education Act, 20 U.S.C. § 1400, et seq. ("IDEA").1

On December 11, 2012, an administrative due process hearing under the IDEA was held as to J.B. [# 1] ¶ 8. On December 28, 2012, the Hearing Officer ("HO") issued a determination finding that Lakesia Brighthaupt and J.B. were prevailing parties. Id. On June 20, 2013, plaintiffs submitted a fee petition for $31,276. [# 1] ¶ 9. The parties engaged in settlement discussions but were unable to agree on an amount. [# 1] ¶ 10. On August 27, 2013, plaintiffs filed the current complaint seeking the full amount originally claimed. [# 1] ¶ 11.

On April 15, 2013, an administrative due process hearing under the IDEA was held as to M.Y. [# 1] ¶ 12. That same day, the HO issued a determination finding that Monica Browne and M.Y. were prevailing parties. Id. On June 20, 2013, plaintiffs submitted a fee petition for $24,664. [# 1] ¶ 13. The parties engaged in settlement discussions but were unable to agree on an amount. [# 1] ¶ 14. On August 27, 2013, plaintiffs filed the current complaint seeking the full amount originally claimed. [#1] ¶ 15.

On April 3, 2013, an administrative due process hearing under the IDEA was held as to J.Y. [# 1] ¶ 16. On April 4, 2013, the HO issued a determination finding that Ja'Quelle Yeager and J.Y. were prevailing parties. Id. On June 23, 2013, plaintiffs submitted a fee petition for $31,707. [# 1] ¶ 17. The parties engaged in settlement discussions but were unable to agree on an amount. [# 1] ¶ 18. On August 27, 2013, plaintiffs filed the current complaint seeking the full amount originally claimed. [# 1] ¶ 19.

DISCUSSION

I. Standard of Review

Motions for summary judgment are governed by Rule 56 of the Federal Rules of Civil Procedure, which states that "[t]he court shall grant summary judgment if the movant shows that there is no genuine issue as to any material fact and the moving party is entitled to a judgment as a matter of law." Fed. R. Civ. P. 56(a); see Celotex Corp. v. Catrett, 477 U.S. 317, 106 S.Ct. 2548, 91 L.Ed.2d 265 (1986); Anderson v. Liberty Lobby, Inc., 477 U.S. 242, 106 S.Ct. 2505, 91 L.Ed.2d 202 (1986).

II. Applicable Law

Pursuant to the IDEA, the Court "in its discretion, may award reasonable attorneys' fees as part of the costs . . . to a prevailing party who is the parent of a child with a disability." 20 U.S.C. § 1415(i)(3)(B). The statute further provides that "[f]ees . . . shall be based on rates prevailing in the community in which the action or proceedings arose for the kind and quality of services furnished." 20 U.S.C. § 1415(i)(3)(C).

According to the Supreme Court, "[t]he most useful starting point for determining the amount of a reasonable fee is the number of hours reasonably expended on the litigation multiplied by a reasonable hourly rate" in order to arrive at the total or "lodestar" amount. Hensely v. Eckerhart, 461 U.S. 424, 433, 103 S.Ct. 1933, 76 L.Ed.2d 40 (1983). In the District of Columbia Circuit, "a fee applicant's burden in establishing a reasonable hourly rate entails a showing of at least three elements: the attorneys' billing practices; the attorneys' skill, experience, and reputation; and the prevailing market rates in the relevant community." Covington v. Dist. of Columbia, 57 F.3d 1101, 1107 (D.C. Cir. 1995).

III. Analysis

A. Plaintiffs were Prevailing Parties

Defendant does not contest plaintiffs' status as prevailing parties in this matter. See generally [# 16]. Thus, the only issue before the Court is whether the fees plaintiffs seek are reasonable.

B. Plaintiffs' Counsel's Fees

1. Houck's Billing Practices

Plaintiffs' counsel, Carolyn Houck, seeks an hourly rate of $435. [# 14-13] at 2. According to Houck, her hourly rates are slightly lower than those provided by the Laffey2 matrix, which indicates that an hourly rate of $445 is appropriate for an attorney with her experience practicing in 2012-2013. Id.

2. Houck's Skill, Experience, and Reputation

Houck was admitted to the Bar of the State of Maryland in 1997 and the Bar of the District of Columbia in 1998. [# 14-13] at 2. She has specialized exclusively in special education law since 1997, representing "hundreds of clients in more than 1600 due process hearings or settlement agreements." Id.

3. Prevailing Market Rates

Although use of the Laffey matrix to determine reasonable hourly rates in IDEA cases is not automatic, several judges of this Court have relied on it as an appropriate starting point for determining rates of reimbursement for attorneys who challenge the decisions of the DCPS. Where the issues are complex, the full Laffey rate has been awarded by some members of this Court.3 See A.S. v. Dist. of Columbia, 842 F.Supp.2d 40, 48-49 (D.D.C. 2012) (awarding Laffey rates upon finding that the hearing lasted four days, there were 105 proposed exhibits, there were ten witnesses, and the hearing officer's determination was 28 pages long); Bucher v. Dist. of Columbia, 777 F.Supp.2d 69, 74 (D.D.C. 2011) (awarding Laffey rates upon finding that the hearing lasted four days, there were 42 proposed exhibits, and there were twenty one proposed witnesses); Jackson v. Dist. of Columbia, 696 F.Supp.2d 97, 102 (D.D.C. 2010) (noting that an IDEA administrative proceeding that requires expert testimony is sufficiently complex to warrant application of the Laffey matrix).

Where the issues are not complex, in that there are "no pre-hearing interrogatories or discovery, no production of documents or depositions, no briefings of intricate statutory or constitutional issues, no pre-trial briefings, no lengthy hearings, no protracted arguments, and few, if any, motions filed,"4 some judges have concluded that use of the Laffey matrix is not appropriate, and instead, have awarded some fraction of the Laffey rate. See Cousins v. Dist. of Columbia, No. 11-CIV-172, 2012 WL 1439033, at *5 (D.D.C. Apr. 26, 2012) (awarding three-quarters of the Laffey rate because there was no evidence that the administrative hearing presented a novel legal issue or was in any way more complex than most hearings); Wright v. Dist. of Columbia, No. 11-CIV-384, 2012 WL 79015, at *4 (D.D.C. Jan.11, 2012) (awarding three-quarters of the Laffey rate because case involved a routine administrative proceeding and the time spent preparing for the hearing was nominal); Rooths v. Dist. of Columbia, 802 F.Supp.2d 56, 63 (D.D.C. 2011) ("Like most IDEA cases, the claim on which the plaintiff prevailed in this action involved very simple facts, little evidence, and no novel or complicated questions of law ... The Court therefore will award fees at an hourly rate equal to three-quarters of the USAO Laffey rate. . .").

Defendant argues that plaintiffs have failed to demonstrate that these three cases were, in any way, complex and that the full Laffey rate is unwarranted. [# 16] at 6-9. Defendant argues instead that the Court should award three-fourths of the Laffey rate. Id. The Court agrees.

First, there is no evidence in these three cases that the issues were in any way complex. To the contrary, they appear to have proceeded in a fairly routine fashion, particularly for someone like Houck, who specializes in IDEA cases. In the case of Brighthaupt and J.B., plaintiffs filed a due process complaint, a resolution session was held, a pre-hearing conference was held, and then a due process hearing was held, where the HO heard the testimony of 11 witnesses. [# 14-3] at 2-3, 11. In the case of Browne and M.Y., plaintiffs filed a due process complaint, several motions to dismiss were filed by DCPS, and a due process hearing was held. [# 14-6] at 2. In the case of Yeager and J.Y., the parties participated in two prehearing conference, the last of which resulted in the entry of a consent order. [# 14-1] at 9.

Second, as I noted previously, unless a party is prepared to support its argument with "statistical, economic, or other evidence to include, perhaps, expert testimony," there is no way to determine what rate reflects the actual market rate and "these cases [ ] become a meaningless exercise between plaintiffs, who will cite those cases that support use of the Laffey rate and the defendant, who will cite those that do not." Johnson v. Dist. of Columbia, 850 F.Supp.2d 74, 79 (D.D.C. 2012). In other words, there is no reason to disturb the status quo unless and until reasoned alternatives are proposed:

Until DCPS offers sufficient proof that its rates represent the true prevailing rates in this community and the Laffey rates represent an unreasonable windfall above what lawyers in IDEA cases actually charge their clients, they make use of the Laffey rates as a starting baseline inevitable. DCPS is yet to offer an alternative baseline and proof that it is an accurate measure of the rates that truly prevail in the community of lawyers who handle IDEA cases.

Moss v. Dist. of Columbia, No. 11-CIV-994, 2012 WL 4510682, at *3 (D.D.C. July 12, 2012).

Using the Laffey rates as a baseline and guided by the decisions that have diminished those rates as a function of the complexity of the case or the lack thereof, I conclude that an hourly rate of $333.75 (three-fourths of the Laffey rate of $445) strikes a fair balance between the burden on the public fisc and, in this case, the need to attract competent counsel to represent parties in straight-forward IDEA cases.

C. Calculation of Plaintiffs' Counsel's Attorney's Fees

1. Lakesia Brighthaupt and J.B.

In accordance with the calculations in Court's Exhibit 1, plaintiffs are due $23,996.63 in attorney's fees for work performed on Brighthaupt and J.B.'s case.

2. Monica Browne and M.Y.

In accordance with the calculations in Court's Exhibit 2, plaintiffs are due $18,923.63 in attorney's fees for work performed on Browne and J.B.'s case.

3. Ja'Quelle Yeager and J.Y.

With respect to Yeager and J.Y.'s case, defendant contends that plaintiffs' counsel should not be reimbursed for time spent following defendant's offer of settlement. [# 16] at 9. Plaintiffs contend that full reimbursement is due because the relief Yeager and J.Y. obtained after rejecting defendant's original settlement proposal was greater than what they would have obtained if they had accepted it. Plaintiffs' Reply to Defendant's Response in Opposition to Plaintiffs' Motion for Summary Judgment and Plaintiffs' Response in Opposition to Defendant's Cross-Motion for Summary Judgment [# 17] at 10-11. Specifically, plaintiffs claim that they rejected the settlement offer it because it would have forced them to waive J.Y.'s rights to compensatory education. Id. at 11.

The IDEA provides in pertinent part as follows:

Attorneys' fees may not be awarded and related costs may not be reimbursed in any action or proceeding under this section for services performed subsequent to the time of a written offer of settlement to a parent if— (I) The offer is made within the time prescribed by Rule 68 of the Federal Rules of Civil Procedure or, in the case of an administrative proceeding, at any time more than 10 days before the proceeding begins; (II) The offer is not accepted within 10 days; and (III) The court or administrative hearing officer finds that the relief finally obtained by the parents is not more favorable to the parents than the offer of settlement.

20 U.S.C. § 1415(i)(3)(D).

The statute further provides the following:

Notwithstanding subparagraph (D), an award of attorneys' fees and related costs may be made to the parent who is a prevailing party and who was substantially justified in rejecting the settlement offer.

20 U.S.C. § 1415(i)(3)(E).

In the case of Yeager and J.Y., defendant made a settlement offer on February 11, 2013. [# 17-4]. The administrative due process hearing was held on April 3, 2013. Thus, the timing of defendant's settlement offer satisfies subsection (I). Subsection (II) is also satisfied because Yeager and J.Y. rejected the offer. [# 17] at 11. The only issue, therefore, is whether the relief finally obtained by plaintiffs was more favorable than that originally proposed by defendant.

In making this determination, the Court notes that the key to its determination lies in its defining the term "relief finally obtained." Subsection (i) is captioned "Administrative procedures," and thus it follows that the provisions contained under subsection (i) relate solely to those events occurring at the administrative level. In other words, the relevant comparison in subsection (i)(3)(D)(III) is between the relief detailed in the HO's ruling versus the relief detailed in the offer of settlement. With this understanding of the statutory language, it is clear in this case that the relief finally obtained by Yeager and J.Y. was not more favorable than what DCPS previously offered. The following chart shows what each provided, although, as will be shown, that is not the end of the story.


                                   Settlement Offer5                 Consent Order Signed by HO6

      1.    Independent            To be obtained within 45 days          Same
            Occupational           of date of agreement and not to
            Therapy                exceed $633.42.

      2.    Physical Therapy       To be obtained within 45 days          Same.
                                   of date of agreement and not to
                                   exceed $395.60.

      3.    Speech and             To be obtained within 45 days          Same.
            Language               of date of agreement and not to
            Therapy                exceed $807.20.

      4.    Further                Following completion of the            Same.
            Evaluation             above therapies, and new
                                   evaluation, and within 20
                                   school days of receipt of new
                                   evaluation, DCPS to convene
                                   an IEP meeting and revise IEP
                                   if necessary.

      5.    Attorney's Fees        Not to exceed $300.00.                 Not addressed in Order.

[Editor's Note: The preceding image contains the reference for footnote

Plaintiffs argue that the primary reason Yeager and J.Y. rejected the settlement offer was because they would have been forced to forgo any and all rights J.Y. would have had to compensatory education. [# 17] at 10. In support of their argument, plaintiffs point to paragraph 9 of the settlement agreement, which states the following:

This Settlement Agreement is in full satisfaction and settlement of the pending complaint, SHO case # 2012-0810. The Petitioner hereby fully releases and waives the claims asserted in the complaint or [that] could have been asserted, including any and all relief that does or could result from the claims, as of the date of this signed and fully executed SA.

[# 17-4] at 3.

Plaintiff argues that had she signed the agreement she would have given up any right to have the new IEP that was created include compensatory education. The settlement agreement would appear only to have resolved the claims that had been made to that point and did not speak to whether, after new IEP's were created, the children would be entitled to compensatory education and, if they were, whether the settlement agreement precluded an award of compensatory education. Thus, a court or hearing officer would have to conclude that the agreement silently reached out to an event that had not occurred and would only occur if other conditions were fulfilled. Indeed, DSPS had to know that one consequence of the consent order it proposed might be the award of compensatory education in the new IEP. It could have easily demanded waiver of that right in specific terms but it did not. Its failure to be more specific would probably be held against it. In light of all of this, it might not be likely that the release would be construed to bar the IEP team from awarding the child compensatory education if it saw fit to award it.

Nevertheless, the release in the agreement is broad. Plaintiffs were said to "hereby fully release[ ] and waive[ ] the claims asserted in the complaint or [that] could have been asserted, including any and all relief that does or could result from the claims, as of the date of this signed and fully executed SA." It is certainly not inconceivable that the compensatory education, if awarded in the new IEP's, was relief that "could result from the claim made." Moreover, the claim for compensatory education had been made or could have been made and the release, DCPS would argue, therefore barred the IEP team from granting it.

At most, one could say that whether the release provision barred the claim for compensatory education raised a complicated legal issue as to which reasonable lawyers could differ. I therefore cannot find, as I must, that the settlement agreement plaintiffs rejected was no more favorable than the relief awarded because there lingered unresolved whether that agreement barred the compensatory education plaintiffs ultimately secured.

Plaintiffs also argue that they were substantially justified in rejecting the settlement offer and therefore entitled to reimbursement for "services performed subsequent to the time of a written offer of settlement,"7 because the settlement offer only provided for an award of $300 in attorney's fees. The Court agrees. As of February 11, 2013, the date of the settlement offer, plaintiffs' counsel had already worked 15.4 hours on the case. See Court's Exhibit 3 at 1-3. Thus, assuming the reasonableness of the hours spent to that point in the case, which defendant does not challenge, even at the lower reimbursement rate being allowed by the Court, plaintiffs would have received attorney's fees of $5,139.75 ($333.75 × 15.4) for that work. Yet, pursuant to the terms of the settlement offer, plaintiffs' counsel would have been compensated at an hourly rate of $2.00, which is well below minimum wage.8

Indeed, even though it offered only $300 in attorney's fees, defendant now argues that plaintiffs' counsel is entitled to $90 per hour, the rate awarded criminal defense lawyers. [# 16] at 8. Using that rate, however, and multiplying it by the 15.4 hours plaintiffs' counsel worked on J.Y.'s case as of February 11, 2013, yields a fee of $1,386, which is 4.62 times more than the $300 originally offered. Indeed, at $90 per hour, the $300 offered in settlement would only have compensated plaintiffs' counsel for 3.3 hours of work.

More to the point, defendant is well aware that the judges of this court routinely award either the full Laffey rate or 75% of that rate in these cases. Defendant's offer of a flat fee of $300 is less than one hour's work for an attorney of plaintiffs' counsel's experience under either rate. Defendant must have known that its offer of $300 in attorney's fees could not possibly satisfy plaintiffs' counsel. Nor is it fair for DCPS to dismiss plaintiffs' rejection of the offer because it did not include adequate attorney fees as a red herring because the hearing officer did not award attorney fees. But, there was no demand made of the hearing officer for attorney fees. As DCPS knows, its purpose in making an offer of attorney fees was to cut off resort to this Court for the fee if, as was inevitable, DCPS offered an amount of fees that was neither based on the Laffey rates or the 75% of Laffey awarded by some of the judges of this Court. The $300 was so low that it could only be considered an insincere offer and an insincere offer should not trigger that cuts off of fees under the statute. If it did, counsel for plaintiffs in these cases will be encouraged to continue to litigate fees in this Court since it is unlikely that this Court will consider a de minimis offer, out of all proportion to the work done, sufficient to trigger the statute. On the other hand, a sincere and responsible offer, premised on an expectation of what plaintiffs' counsel may receive in this Court should cause counsel to think very hard about rejecting it even if it is not all that counsel hope to achieved by prosecuting a fee petition in this Court.

Awarding fees in these IDEA cases requires a careful balancing. The Court needs to ensure that counsel in these cases are fairly compensated so that they will continue to take these cases and provide parents with the qualified counsel they need. The Court also must appreciate the fact that municipal budgets for education are finite. The clear intendment of the attorney's fees provision within the IDEA is to preclude fees for a lawyer who foolishly rejects a reasonable settlement offer then wastes everyone's time and money to achieve through litigation what she could have achieved through settlement. An unreasonable offer does not advance those goals and it would be a pernicious and self-defeating interpretation of the IDEA to say that any offer of fees, no matter how unreasonable, must be accepted at the risk of losing all compensation from the date the settlement offer was made until the date the case is concluded. A fairer interpretation of the statute would be to say, as must be said here, that an offer of a mere pittance in attorney's fees does not trigger that section of the statute that precludes an award of attorney's fees for time spent on the case after the settlement offer was made if the plaintiff ultimately secures no more relief that that which was originally offered.

Plaintiffs were therefore substantially justified in rejecting the settlement offer based solely on the fact that defendant only offered $300 in attorney's fees for counsel's work on behalf of Yeager and J.Y.9 Thus, in accordance with the calculations in Court's Exhibit 3, plaintiffs are due $24,196.88 in attorney's fees and $170.10 in costs for work performed on Yeager and J.Y.'s case.

In summary, the Court concludes that plaintiffs should be reimbursed as follows for work performed by Houck:

                                             Attorney's Fees             Costs             Total Amount Due

      Lakesia Brighthaupt and J.B.           $23,996.63                  n/a               $23,996.63

      Monica Browne and M.Y.                 $18,923.63                  n/a               $18,923.63

      Ja'Quelle Yeager and J.Y.              $24,196.88                  $170.10           $24,366.98

      TOTAL DUE:                                                                           $67,287.24

For the reasons stated above, it is, therefore, hereby,

ORDERED that Plaintiffs' Motion for Summary Judgment [# 14] is DENIED. It is further, hereby,

ORDERED that Defendant's Opposition to Plaintiffs' Motion for Summary Judgment and Cross-Motion for Summary Judgment [# 16] is GRANTED in part and DENIED in part.

SO ORDERED.

Appendix

Lakesla Brighhaupt and J.B.

Brighthaupt, e al. v. DC 13-1294

Date of        Description                                              Attorney        Hours        Hours        Hourly Rate       Hourly Rate       Costs       Total
Service                                                                                 Claimed      Allowed      Claimed           Allowed                       Allowed

9/20/2012      TC with mother who went to IEP meeting today for         CH              0.2          0.2          $435.00            $333.75                      $66.75
               J. They refused to evaluate, despite her request.
               Mother said she was referred by social worker
               from DC agency. Discussed her legal rights if DCPS
               did not agree to evaluate and should have.
               Mother agrees she would like to meet and pursue
               legal case.

9/20/2012      Rec/rev IEP and meeting notes mother faxed to            CH              0.6          0.6          $435.00            $333.75                      $200.25
               me. IEP is not based on any evaluations and [is]
               vague and not measurable.

9/25/2012      Meeting with client. Went through the records she        CH              2            2            $435.00            $333.75                      $667.50
               brought and took an extensive educational history.
               Explained the legal process, and parent agreed to
               move forward, as I told her that she has a legal
               case against DCPS for not evaluating J for at least 6
               years.

10/2/2012      Records request to DCPS and Kelly Miller.                CH              0.5          0.5          $435.00            $333.75                      $166.88

10/2/2012      Refer case to educational consultant Twilah              CH              0.4          0.8          $435.00            $333.75                      $133.50
               Anthony to assist in preparing case, including
               meeting with student [and] informal testing.

10/5/2012      Arrange to pick up records from Kelly Miller.            CH              0.1          0.1          $435.00            $333.75                      $33.38

10/5/2012      Begin reviewing educational file from Kelly Miller.      CH              1.6          1.5          $435.00            $333.75                      $534.00

10/6/2012      Rec/rev results of informal testing performed by         CH              0.5          0.5          $435.00            $333.75                      $166.88
               educational consultant Twilah Anthony. J is very
               low in all areas, has muscular dystrophy and
               serious mobility issues.

10/6/2012      Continue reviewing file picked up from Kelly Miller,     CH              0.7          0.7          $435.00            $333.75                      $233.63
               several IEPs, but no evaluations.

Lakesla Brighhaupt and J.B.

Brighthaupt, e al. v. DC 13-1294

Date of         Description                                             Attorney        Hours        Hours        Hourly Rate       Hourly Rate       Costs       Total
Service                                                                                 Claimed      Allowed      Claimed           Allowed                       Allowed

10/7/2012       Continue reviwing file and developing educational       CH              1.3          1.3          $435.00           $333.75                       $433.88
                history to include as background information in HR.
                No evaluations, but many progress reports and
                some discipline papers.

10/10/2012      Begin drafting HR for failure to evaluate and failure   CH              1            1            $435.00           $333.75                       $333.75
                to develop adequate IEPs.

10/11/2012      Continue drafting HR, including researching statute     CH              1            1            $435.00           $333.75                       $333.75
                requiring parent's signature if team determines not
                to evaluate student at triennial meeting. Parent is
                required to give consent in writing, otherwise DCPS
                is required to evaluate.

10/12/2012      Meet with parent to review HR and gain her              CH              0.3          0.3          $435.00           $333.75                       $100.13
                approval, pending some minor changes. Went
                over educational history in detail.

10/13/2012      Complete HR. 31 factual allegations and 5 issues.       CH              1.5          1.5          $435.00           $333.75                       $500.63

10/15/2012      File HR with SHO and OGC.                               CH              0.1          0.1          $435.00           $333.75                       $33.38

10/17/2012      Rec/rev hearing notice. Massey/Washington.              CH              0.1          0.1          $435.00           $333.75                       $33.38

10/18/2012      Rec/rev initial order from HO. Calendar dates and       CH              0.2          0.2          $435.00           $333.75                       $66.75
                instructions.

10/25/2012      Rec/rev DCPS response to HR, denies that DCPS
                has violated rights, even though there are no           CH              0.3          0.3          $435.00           $333.75                       $100.13
                evaluations in his file.

10/26/2012      TC with mother to discuss DCPS response, which
                essentially states that the mother has not been         CH              0.2          CI.2         $435.00           $333.75                       $66.75
                truthful. Mother confirms again her statements
                and desire to go forward.

11/13/2012      Negotiate date for prehearing conf with HO and          CH              0.3          0.3          $435.00           $333.75                       $100.13
                OGC.

11/18/2012      Prepare for participation in prehearing conference.     CH              0.5          0.5          $435.00           $333.75                       $166.88

Lakesla Brighhaupt and J.B.

Brighthaupt, e al. v. DC 13-1294

                                                                                                                                                                                                                                                                                                                         i
Date of         Description                                             Attorney        Hours        Hours        Hourly Rate       Hourly Rate       Costs       Total
Service                                                                                 Claimed      Allowed      Claimed           Allowed                       Allowed

11/19/2012      Participate in prehearing conference.                   CH              0.4          0.4          $435.00           $333.75                       $133.50

11/19/2012      Negotiate date for RM with OSE                          CH              0.2          0.2          $435.00           $333.75                       $66.75

11/21/2012      Rec/rev PHO, certifying all issues requested. Note      CH              0.4          0.4          $435.00           $333.75                       $133.50
                all requ[ire]ments for Petitioner to follow.

11/27/2012      Prepare mother for RM.                                  CH              0.7          0.7          $435.00           $333.75                       $233.63

11/28/2012      Participate in RM.                                      TA              0            0            $435.00           $333.75                         $0.00

11/30/2012      Review all documents from RM, including notes           CH              0.5          0.5          $435.00           $333.75                       $166.88
                and disposition forms.

11/30/2012      Notify HO, at her request, of status of case            CH              0.2          0.2          $435.00           $333.75                        $66.75                                                                                                                                                                                                                                                                                                       1
                following RM.

11/30/2012      Begin hearing preparation by reviewing all IEPs and     CH              1.5          1.5          $435.00           $333.75                       $500,63
                talking with educational consultant to determine
                what evaluations we will need expert witnesses
                for. Determine we need an expert for every
                evaluation we are rellquesting.

11/30/2012      TC with Dr. Zeitlin requesting that she testify as an   CH              0.3          0.3          $435.00            $333.75                      $100.13
                expert witness at DPH as to why updated
                evaluation is n[e]cessary.

12/1/2012       Contact Tracey Ellis. OT by phone to see if she will
                review file and testify as to why J requires() an OT    CH              0.3          0.3          $435.00            $333.75                      $100.13
                evaluation. Agrees to testify by phone.

12/1/2014       Contact Dr. Paleg, PT, by phone to see if she will be   CH              0.2          0.2          $435.00            $333.75                       $66.75
                willing to testify at hearing as expert witness. Sent
                her file for her review.

12/2/2012       Begin preparing disclosures for DPH.                    CH              1.5          1.5          $435.00            $333.75                      $500.63

12/2/2012       TC with Dr. P[ajleg, who agrees to testify. She will    CH              0.2          0.2          $435.00            $333.75                       $66.75
                meet with student.

12/3/2012       Prepare brief regarding all witnesses' testimony,       CH              0.7          0.7          $435.00            $333.75                      $233.63
                per HOs request.

Lakesla Brighhaupt and J.B.

Brighthaupt, e al. v. DC 13-1294

Date of         Description                                            Attorney        Hours        Hours         Hourly Rate        Hourly Rate      Costs       Total
Service                                                                                Claimed      Allowed       Claimed            Allowed                      Allowed

12/3/2012      Continue preparing disclosures, complete. 17            CH              2            2             $435.00            $333.75                      $667.50
               documents, 7 witnesses, all except parent to
               qualify as expert.

12/4/2012      Rec/rev DCPS disclosures. 7 witnesses, all              CH              0.3          0.3           $435.00            $333.75                      $100.13
               testifying as to why J does not need to receive
               triennial evaluations.

12/4/2012      File disclosures with OGC, HO, and SHO.                 CH              0.1          0.1           $435.00            $333.75                       $33.38

12/4/2012      Send disclosures, both DCPS and Pet's to all            CH              0.2          0.2           $435.00            $333.75                       $66.75
               witnesses.

12/6/2012      Research DCPS witnesses, inc. qualifications, as        CH              0.7          0.7           $435.00            $333.75                      $233.63
               they will testify as to why J does not require
               evaluations in 6 years.

12/7/2012      Prepare opening and closing statements for DPH.         CH              1            1             $435.00            $333.75                      $333.75

12/7/2012      Prepare all questions for witnesses and send.           CH              2.2          2.2           $435.00            $333.75                      $734.25

12/8/2012      Tconf with Dr. Zeitlin to prepare her for DPH.          CH              0.3          0.3           $435.00            $333.75                      $100.13
               Agrees to be present in person.

12/8/2012      Tconf with Dr. P[ajleg to prepare her to testify as     CH              0.2          0.2           $435.00            $333.75                       $66.75
               PT expert. She will participate by phone.

12/9/2012      Tconf with Tracey Ellis to prepare her for DPH.         CH              0.5          0.5           $435.00            $333.75                      $166.88

12/10/2012     Meet with parent and [J] to prepare them for            CH              2.7          2.7           $435.00            $333.75                      $901.13
               hearing. Many role plays and went over questions
               for direct and cross in detail.

12/10/2012     Meet with Twilah Anthony, advocate to prepare           CH              2.3          2.3           $435.00            $333.75                      $767.63
               for DPH. Prepare questions with her and go over
               all her notes from her several meetings with
               mother and J.

12/10/2012     Revise questions for witnessses after talking with      CH               1           1             $435.00            $333.75                      $333.75
               each of them.

12/10/2012     Continue preparing for hearing by revising opening      CH               0.4         0.4           $435.00            $333.75                      $133.50
               and closing statements.

12/10/2012     Final review of file, all documents.                    CH               2           2             $435.00            $333.75                      $667.50

Lakesla Brighhaupt and J.B.

Brighthaupt, e al. v. DC 13-1294

Date of         Description                                            Attorney        Hours        Hours         Hourly Rate        Hourly Rate      Costs       Total
Service                                                                                Claimed      Allowed       Claimed            Allowed                      Allowed

12/11/2012	Participate in DPH, agree that 2nd issue will be       CH 	       6	    6	          $435.00	     $333.75	                  $2,002.50
                subsumed into 1st issue and that the only relief we
                are seeking is ind evaluations (8). Petitioner calls 6
                witnesses, and DCPS calls 5 witnesses.

12/11/2012      Meet with parent after hearing to debrief.	       CH	       0.5	    0.5	           $435.00	     $333.75	                  $166.88

12/28/2012	Rec/rev HOD. Prevailed in every area, ordered 8        CH	       0.5	    0.3	           $435.00	     $333.75	                  $166.88
 	        independent evaluations.

1/3/2013	Rec/rev IEE authorization letter for 8 evaluations.    CH	       0.2	    0.2	           $435.00	     $333.75	                  $66.75

1/5/2013        Research developmental optomotry evaluators to         CH              1	    1	           $435.00	     $333.75	                  $333.75
                determine who to use. Decide to refer to Dr.	
                Zoller, who will bill DCPS.

1/8/2013	Confer with Dr. Ginny P[a]leg, PT, to determine if     CH	       0.2	    0.2	           $435.00	     $333.75	                  $66.75
                she can perform APE evaluation, as well as PT. Dr.
                P[a]leg confirms she can do both and will bill DCPS.

1/14/2013       Begin research to find independent audiologist         CH               1            1              $435.00           $333.75                     $333.75
                who will evaluat[e] and bill DCPS ata the rate DCPS
                will pay

1/15/2013       Refer PT and APE evaluation to Dr. P[a]leg.            CH              0.4           0.4            $435.00           $333.75                     $133.50

1/15/2013       Online and phone resesarch re. ind evaluations and     CH              0.2           0.2            $435.00           $333.75                     $66.75
                who is qualified and who will perform them at
                DCPs rate. Specifically S/L and audiologist.

1/15/2013       Refer developmental vision evaluation to Dr.           CH              0.5           0.5            $435.00           $333.75                     $166/88
                Zoller.

1/15/2013       Continue search for audiologist. Dr. Ruth Boyd will.   CH              0.2           0.2            $435.00           $333.75                     $66.75
                do evaluation.

1/15/2013       Refer audiological evaluation to Dr. Boyd, including   CH              0.5           0.5            $435.00           $333.75                     $166.88
                telephone call to discuss case.

1/15/2013       Refer speech/language evaluation to Dr. Boyd,          CH              0.2           0.2            $435.00           $333.75                      $66.75
                who can do both audiological and S/L

Lakesla Brighhaupt and J.B.

Brighthaupt, e al. v. DC 13-1294

Date of         Description                                            Attorney        Hours        Hours         Hourly Rate        Hourly Rate      Costs       Total
Service                                                                                Claimed      Allowed       Claimed            Allowed                      Allowed

1/20/2013       Confer with Dr. P[a]leg who needs more                 CH              0.3          0.3           $435.00            $333.75                       $100.13
                information regarding J's disease, as iln] what type
                of Muscular Dystrophy he has, it is important in
                knowing how to structure recommendations.

1/20/2013       Work with Dr. Zoller's office and parent to make       CH              0.8          0.8           $435.00            $333.75                       $267.00
                arrangements for J to be transported to
                appointment, as he requires vehicle that can
                accommodate wheel chair.

1/20/2013       Begin investigating OT evaluators to determine          CH             0.7          0.7           $435.00            $333.75                       $233.63
                who can best evaluate student with MD and who
                will go to school. Most evaluators want student to
                come to office. This is not possible for this
                student, as mother does not have car, and he
                cannot take public transportation.

1/25/2013       Continue searching for OT evaluator, conclude to        CH             0.3          0.3           $435.00            $333.75                       $100.13
                refer to Skills on the Hill.

1/25/2013       Many attempts over several days to get medical          CH             1.5          1.5           $435.00            $333.75                       $500.63
                records from Children's Hospital, as Dr. P[a]leg
                believes that these records are necessary for her to
                perform adequate evaluation and report.

1/30/2013       Refer OT evaluation to Skills on the Hill.              CH             0.4          0.4           $435.00            $333.75                       $133.50

2/7/2013        Rec/rev vision evaluation report from Dr. Zoller, a     CH             0.5          0.5           $435.00            $333.75                       $166.88
                complete developmental evaluation.

2/10/2013       Tconf with Dr. Zoller's office regarding statements     CH             0.2          0.2           $435.00            $333.75                        $66.75
                in report that require further explanation. Dr.
                agrees to clarify her report and resend.

2/11/2013       Rec/rev audiological evaluation from Dr. Boyd.          CH             0.2          0.2           $435.00            $333.75                        $66.75

2/14/2013       Rec/rev final vision report from Dr. Zoller and         CH             0.3          0.3           $435.00            $333.75                        $100.13
                notify her that it is complete and acceptable.

Lakesia Brighthaupt and J.B.

Brighthaupt, et al. v. DC 13-1294

Date of         Description                                          Attorney       Hours        Hours          Hourly Rate     Hourly Rate    Costs    Total
Service                                                                             Claimed      Allowed        Claimed         Allowed                 Allowed

2/15/2013       Ref comp psych ind evaluation to Dr. Zeitlin,        CH             0.4         0.4             $435.00         $333.75                 $133.50
                including TC to discuss case.

2/25/2013       Rec/rev Speech/Language assessment from Dr.          CH             0.3         0.3             $435.00         $333.75                 $100.13
                Boyd

2/25/2013       Research assistive technology evaluators.            CH             1           1               $435.00         $333.75                 $333.75

2/26/2013       Contact two AT evaluators, both want student to      CH             0.4         0.4             $435.00         $333.75                 $133.50
                come to office.

2/27/2013       Tconf with Conaboy & Asso who will perform           CH             0.2         0.2             $435.00         $333.75                 $66.75
                evaluation in school.

3/1/2013        Refer assistive technology evaluation to Conaboy.    CH             0.4         0.4             $435.00         $333.75                 $133.50

3/15/2013       Continued corres with records department at          CH             0.3         0.3             $435.00         $333.75                 $100.13
                Children's Hosp over several days trying to get
                medical records for Dr. Paleg. Finally received
                information as to where to fax request and faxed
                request.

3/15/2013       Letter to Children's Hosp requesting that medical    CH             0.2         0.2             $435.00         $333.75                 $66.75
                records be expedited to me, as we need them in
                order to complete evaluations and determine
                placement for student.

4/5/2013        Rec/rev OT evaluation report for Ms. Masci.          CH             0.4         0.4             $435.00         $333.75                 $133.50

4/17/2013       Rec/rev comp psych report from Dr. Zeitlin.          CH             0.3         0.3             $435.00         $333.75                 $100.13

4/18/2013       Rec/rev independent PT evaluation report from Dr.    CH             0.3         0.3             $435.00         $333.75                 $100.13
                P[a]leg.

4/18/2013       Rec/rev independent adaptive PE report from Dr.      CH             0.2         0.2             $435.00         $333.75                 $66.75
                P[a]leg.

4/18/2013       Provide 7 independent reports to SEC at Kelly        CH             0.2         0.2             $435.00         $333.75                 $66.75
                Miller and CCM for HOD.

4/20/2013       TC with AT evaluator who needs to help in making     CH             0.2         0.2             $435.00         $333.75                 $66.75
                sure J is available and in school for evaluation.
                Confirm with mother.

Lakesia Brighthaupt and J.B.

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                              Attorney       Hours        Hours          Hourly Rate     Hourly Rate    Costs    Total
Service                                                                             Claimed      Allowed        Claimed         Allowed                 Allowed

5/6/2013    Rec/rev assistive technology report from Conaboy.        CH             0.3          0.3            $435.00         $333.75                 $100.13

5/7/2013    Provide last of 8 reports to DCPS.                       CH             0.1          0.1            $435.00         $333.75                 $33.38

5/7/2013    Letter to DCPS requesting that they schedule             CH             0.2          0.2            $435.00         $333.75                 $66.75
            meeting pursuant to HOD.

5/10/2013   Tconf with Kristin Conaboy who explains meaning          CH             0.5          0.5            $435.00         $333.75                 $166.88
            of her report and recommendations to me, so that
            I can explain to mother and J. Atty unfamiliar with
            assistive technology evaluations.

5/15/2013   Corres with SEC at Kelly Miller regarding our            CH             0.4          0.4            $435.00         $333.75                 $133.50
            request that DCPS provide us with reviews of ind
            evaluations prior to meeting, in order to facilitate
            process.

5/20/13     Meet with parent, advocate, and 1 to begin               CH             2            2              $435.00         $333.75                 $667.50
            reviewing all evaluation reports (1st 4 of 8).

5/20/2013   Corres with SEC at Kelly Miller stating he is not        CH             0.2          0.2            $435.00         $333.75                 $66.75
            required by law to provide any information prior to
            meeting and will not do so.

5/25/2013   Second meeting meeting with parent, advocate, and J to   CH             1.7          1.7            $435.00         $333.75                 $567.38
            review next group of 4 independent evaluation
            reports.

5/25/2013   Begin preparing for IEP meeting per HOD.                 CH             1            1              $435.00         $333.75                 $333.75

5/28/2013   Continue preparing for IEP meeting per HOD.              CH             0.5          0.5            $435.00         $333.75,                $166.88

5/29/2013   Meet with parent and advocate prior to IEP               CH             1            1              $435.00         $333.75                 $333.75
            meeting for final preparation.

5/29/2013   Participate, along with parent and advocate in IEP       CH             3.5          3.5            $435.00         $333.75                 $1,168.13
            meeting held pursuant to HOD. DCPS had 8
            evaluators present to review all 8 independent
            evaluations. E ach one had a written report, but
            had not provided it before today.

Lakesia Brighthaupt and J.B.

Brighthaupt. et al. v. DC 13-1294

Date of     Description                                              Attorney       Hours        Hours          Hourly Rate     Hourly Rate    Costs    Total
Service                                                                             Claimed      Allowed        Claimed         Allowed                 Allowed

5/30/2013   Tconf with parent and advocate to debrief after IEP      CH             0.4          0.4            $435.00         $333.75                 $133.50
            meeting. Determine that we will not accept IEP.
            Parent will not sign her agreement. Refused to
            provide OT and PT for student with multiple
            disabilities.

6/4/2013    Rec/rev IEP from SEC at Kelly Miller.                    CH             1            1              $435.00         $333.75                 $333.75

6/4/2013    Rec/rev eligibility determination worksheets from        CH             0.6          0.6            $435.00         $333.75                 $200.25
            SEC at Kelly Miller.

6/12/2013   Meet with parent after sending IEP and eligibility       CH             0.4          0.4            $435.00         $333.75                 $133.50
            determination papers to her. Agree that I will
            write letter to school explaining why we reject.

6/12/2013   Prepare letter to SEC at Kelly Miller rejecting IEP,     CH             0.3          0.3            $435.00         $333.75                 $100.13
            but confirming that parent wants it implemented,
            she will not sign her agreement.

                                                                                                 71.9                                                   $23,996.63

Monica Browne and M.Y.

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                              Attorney       Hours        Hours          Hourly Rate     Hourly Rate    Costs    Total
Service                                                                             Claimed      Allowed        Claimed         Allowed                 Allowed

1/7/2013    Rec call from admissions director at Ivymount            CH             0.2          0.2            $435.00         $333.75                 $66.75
            referring me case. Parents came in concerned that
            their son was scheduled to graduate from High
            Road and is not prepared for any transition.

1/8/2013    TC with parents regarding M. Want to take                CH             0.2          0.2            $435.00         $333.75                 $66.75
            whatever legal steps are necessary to prevent a
            premature exit from sped.

1/11/2013   Meet with parents to begin process of preparing          CH             1.5          1.5            $435.00         $333.75                 $500.63
            legal case. Parents bring documents and take
            extensive educational history.

1/11/2013   Records request to James E. Brown & Asso who             CH             0.4          0.4            $435.00         $333.75                 $133.50
            was attorney before they downsized and referred
            clients out.

1/11/2013   Records request to pro bono attorneys from               CH             0.3          0.3            $435.00         $333.75                 $100.13
            Children's Law Center, who clients do not believe
            are fully understanding their case. CLC attorneys
            took case from JEBrown.

1/11/2013   Send letter signed by parents releasing pro bono         CH             0.1          0.1            $435.00         $333.75                 $33.38
            attorneys

1/14/2013   TC with Miguel Hull with JEB to review case history      CH             0.3          0.3            $435.00         $333.75                 $100.13
            with him. He also says that he provided most
            documents to new lawyers, but has everything
            scanned and will send to me.

1/14/2013   Rec 400 pages of documents from JEB fim.                 CH             0.2          0.2            $435.00         $333.75                 $66.75

1/16/2013   TC with pro bono attorneys regarding records I           CH             0.1          0.1            $435.00         $333.75                 $33.38
            need. They agree to email me all documents they
            have.

1/18/2013   Received files from pro bono attorney, apears to         CH             0.3          0.3            $435.00         $333.75                 $100.13
            be many duplicates. Determine I do not need to
            review JEB files.

Monica Browne and M.Y.

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                            Attorney   Hours     Hours     Hourly Rate   Hourly Rate   Costs   Total
Service                                                                       Claimed   Allowed   Claimed       Allowed               Allowed

1/18/2013   Begin reviewing educational files From prior
            attorneys, more than 300 pages.                        CH         2.5       2.5       $435.00       $333.75               $834.38

1/20/2013   Continue reviewing files, taking what) need, and
            beginning to draft educational record.                 CH         3         3         $435.00       $333.75               $1,001.25

1/20/2013   TC with father regarding case status and discuss
            when I can file complaint.                             CH         0.2       0.2       $435.00       $333.75               $66.75

1/21/2013   Continue reviewing files and developing
            educational record.                                    CH         2         2         $435.00       $333.75               $667.50

1/23/2013   Complete file review through 8/30/12, when
            clients were dismissed by JEB and went to probono
            attorneys.                                             CH         0.3       0.3       $435.00       $333.75               $100.13

1/25/2013   Begin reviewing file from Sept 2012 through Jan
            2013. Consists mainly of requests to fund ind
            evaluations, due to disagreement with DCPS
            evaluations.                                           CH         1         1         $435.00       $333.75               $333.75

2/1/2013   Continue reviewing documents. Five requests to
           DCPS to fund evaluations, cannot find one reply
           from DCPS.                                              CH         0.5       0.5       $435.00       $333.75               $166.88

2/4/2013   TC with prior attorney confirming that no one from
           DCPS ever responded to their several requests to
           fund ind e[v]aluations.                                 CH         0.1       0.1       $435.00       $333.75               $33.38

2/6/2013   Review in detail the evaluation report that parents
           obtained independently, a S/L report that is 19
           pages long, plus a school observation report to
           accompany it. Extremely comprehensive.                  CH         1         1         $435.00       $333.75               $333.75

2/6/2013   First TC with ind S/L evaluator, who confirms that
           she has not been paid. I explained to her that I
           would be filing for funding. Explained that DCPS
           pays only $807 for S/L evaluation. Her fee is           CH         0.2       0.2       $435.00       $333.75               $66.75

Monica Browne and M.Y.

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                            Attorney   Hours     Hours     Hourly Rate   Hourly Rate   Costs   Total
Service                                                                       Claimed   Allowed   Claimed       Allowed               Allowed

2/6/2013		Further file review. Determine that ind S/L was
            sent to DCPS on 10/12/12. Now, 4 months later, it
            has still not been reviewed.                           CH         0.4       0.4       $435.00       $333.75               $133.50

2/7/2013    2nd meeting with parents, who are insistent that
            we file to get these evaluations funded as soon as
            possible, as it is clear that DCPS will not be
            responding.                                            CH         1.5       1.5       $435.00       $333.75               $500.63

2/8/2013    Meet with parents to review independent S/L
            report with them. They have it, but no one had
            [ever gone] over it with them and discussed the
            findings. They are now more intent than ever to
            file complaint for reimbursement for S/L and for
            funding for the comp psych that has been
            requested twice with no reply.                         CH         1         1         $435.00       $333.75               $333.75

2/10/2013   Begin drafting HR. Determine after speaking with
            parents that we will file this time only on getting
            evaluations funded, as first step in trying to stop
            graduation process, but the graduation is
            premature at this time.                                CH         1         1         $435,00       $333.75               $333.75

2/11/2013   Continue drafting HR, focusing on factual issues.      CH         1.7       1.7       $435.00       $333.75               $567.38

2/11/2013   Meet with parents to review HR, make sure all
            factual allegations are correct and obtain their
            approval to file. Discussed several corrections and
            then can file.                                         CH         0.3       0.3       $435.00       $333.75               $100.13

2/12/2013   Correct HR, per meeting with parents.                  CH         0.2       0.2       $435.00       $333.75               $66.75

2/13/2013   File HR with OGC and SHO.                              CH         0.1       0.1       $435.00       $333.75               $33.38

2/19/2013   Rec/rev DCPS response denying all allegations in
            HR.                                                    CH         0.3       0.3       $435.00       $333.75               $100.13

2/26/2013   Rec offer of settlement from DCPS.                     CH         0.3       0.3       $435.00       $333.75               $100.13

2/28/2013   Rec second and "final" offer of settlement from
            DCPS, this time from the OGC.                          CH         0.3       0.3       $435.00       $333.75               $100.13

Monica Browne and M.Y.

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                            Attorney   Hours     Hours     Hourly Rate   Hourly Rate   Costs   Total
Service                                                                       Claimed   Allowed   Claimed       Allowed               Allowed

3/1/2013    Meet with both parents to review DCPS' two
            proposed S[A]s. Go over pros and cons, parents
            refuse to give up comp. ed, which is the basis of
            their complaints. Parents reject both S[A]s.           CH	        0.7	      0.7	      $435.00	      $333.75               $233.63

3/1/2013    Corres with OGC rejecting both SAs and providing
            basis for rejection for each one.	                     CH	        0.6	      0.6	      $435.00	      $333.75	              $200.25

3/1/2013    Speak with two psychologists with experience
            evaluating students with autism. Neither will
            evaluate for DCPS rates, confirming our position in
            HR.                                                    CH	        0.5	      0.5	      $435.00	      $333.75	              $166.88

3/4/2013    Rec/rev DCPS Motion to Dismiss due to failure to
            state a claim and mootness.                            CH	        0.3	      0.3	      $435.00	      $333.75	              $100.13

3/4/2013    Research case law cited in DCPS Motion and
            determine it is not relevant to this case.             CH	        0.5	      0.5	      $435.00	      $333.75	              $166.88

3/4/2013    Tconf with Dr. Zeitlin. Explain situation with
            student and prior request for funding. She states
            this is difficult and complex case, cannot do it for
            DCPS rates.                                            CH	        0.3	      0.3	      $435.00	      $333.75	              $100.13

3/4/2013    Tconf with parents regarding Dr. Zeitlin after
            sending them her CV. Parents agree to refer case
            to Dr. Zeitlin to evaluate.                            CH	        0.2	      0.2	      $435.00	      $333.75	              $66.75

3/5/2013    Refer ind comp psych evaluation to Dr. Zeitlin.        CH	        0.3	      0.3	      $435.00	      $333.75	              $100.13

3/6/2013    Begin drafting response to DCPS motion to dismiss.     CH	        1	        1	        $435.00	      $333.75	              $333.75

3/7/2013    Continue drafting response to motion to dismiss,
            inc required research.                                 CH	        1.2	      1.2	      $435.00	      $333.75	              $400.50

3/8/2013    File Pet's response to DCPS motion to dismiss with
            OGC and SHO.                                           CH	        0.1	      0.1	      $435.00	      $333.75	              $33.38

3/10/2013   Prepare for PHC by reviewing records and law.          CH	        0.7	      0.7	      $435.00	      $333.75	              $233.63

3/11/2013   Participate in PHC.                                    CH	        0.8	      0.8	      $435.00	      $333.75	              $267.00

3/12/2013   Prehearing Order from HD Dietrich                      CH	        0.3	      0.3       $435.00	      $333.75	              $100.13

Monica Browne and M.Y.

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                            Attorney   Hours     Hours     Hourly Rate   Hourly Rate   Costs   Total
Service                                                                       Claimed   Allowed   Claimed       Allowed               Allowed

3/12/2013   TC with parents to discuss results of PHC.             CH	        0.2       0.2       $435.00	      $333.75	              $66.75

3/13/2013   Rec/rev Order Denying DCPS Motion to Dismiss.          CH	        0.3       0.3       $435.00	      $333.75	              $100.13

3/15/2013   Compile all emails previously sent to DCPS by prior
            Counsel [to] determine that they are complete, per
            her request and per agreement at the prehearing
            conference.                                            CH	        0.5       0.5       $435.00	      $333.75	              $166.88

3/15/2013   Send all emails regarding evaluations to Maya W.
            per her request and our agreement at PHC.              CH	        0.1       0.1       $435.00       $333.75	              $33.38

3/18/2013   Rec/rev DCPS' Second Motion to Dismiss.                CH	        0.4       0.4       $435.00	      $333.75	              $133.50

3/19/2013   Rec/rev notice from SHO that HO Dietrich is
            removed from case and HO Massey is assigned.           CH	        0.1       0.1       $435.00	      $333.75	              $33.38

3/20/2013   Prepare response to DCPS' second motion to
            dismiss, including more research and consult with
            colleagues.                                            CH	        1.2       1.2       $435.00	      $333.75	              $400.50

3/21/2013   Rec/rev Dr. Zeitlin's comprehensive psychological
            evaluation per HOD.                                    CH	        0.5       0.5       $435.00	      $333.75	              $166.88

3/21/2013   File response to DCPS' second Motion to Dismiss.       CH	        0.1       0.1       $435.00	      $333.75	              $33.38

3/25/2013   Meet with parents to review Dr. Zeitlin's report.
            Confirms dx of autism.                                 CH	        0.5       0.5       $435.00	      $333.75	              $166.88

4/1/2013    Rec/rev invoice from Weinfeld, Inc. for S/L
            evaluation.                                            CH	        0.1       0.1       $435.00	      $333.75	              $33.38

4/1/2013    Rec/rev invoice from Dr. Zeitlin for comp psych
            evaluation.                                            CH	        0.1       0.1       $435.00	      $333.75	              $33.38

4/5/2013    Rec/rev HO Massey's Order deying DCPS' second
            Motion to Dismiss                                      CH	        0.3       0.3       $435.00	      $333.75	              $100.13

4/6/2013    Begin preparing disclosures, as hearing will be
            going forward.                                         CH	        1.5       1.5       $435.00       $333.75	              $500.63

4/7/2013    Continue preparing disclosures.                        CH	        0.5       0.5       $435.00	      $333.75	              $166.88

4/8/2013    File Disclosures with SHO. 26 documents, 7
            witnesses, 2 experts.                                  CH         0.1       0.1       $435.00	      $333.75	              $33.38

4/8/2013    Rec/rev DCPS disclosures.                              CH         0.5       0.5       $435.00	      $333.75	              $166.88

Monica Browne and M.Y

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                              Attorney       Hours        Hours          Hourly Rate     Hourly Rate    Costs    Total
Service                                                                             Claimed      Allowed        Claimed         Allowed                 Allowed

4/9/2013    TC with Dr. Zeitlin regarding market rates to make       CH             0.2          0.2            $435.00         $333.75                  $66.75
            sure she has data to back up her statements.

            Meet with parents to prepare them for DPH.
            Parents need to be prepared for extensive cross
4/10/2013   regarding their requests for add'l funding over          CH               2            2            $435.00         $333.75                 $667.50
            superintendent's guidelines.

4/10/2013   Tconf with S/L evaluator, hearing prep. She may          CH             0.5          0.5            $435.00         $333.75                 $166.88
            have to def[e]nd her evaluation and discuss her
            rates.

4/10/2013   Tconf with Dr. Zeithlin regarding need for her to        CH             0.4          0.4            $435.00         $333.75                 $133.50
            possibly defend her evaluation and to discuss
            market rates from her research.

4/10/2013   Prepare for DPH by writing opening and closing           CH               2            2            $435.00         $333.75                 $667.50
            statements and all questions for expert wintesses.

4/12/2013   Prepare for DPH by reviewing all documents, case         CH             1.7          1.7            $435.00         $333.75                 $567.38
            law regarding market rates for evaluations, esp in
            DC, where superintendent's guidelines prevail.

4/13/2013   Participate in DPH, DCPS comes to hearing stating        CH             1.8          1.8            $435.00         $333.75                 $600.75
            it will comply with partent's request for additional
            funding at market rates for evals. Much discussion
            as to how to proceed. HO determines to issue
            order. DCPS does not object.

4/14/2013   Receive/review HOD. Orders that evaluations be           CH             0.5          0.5            $435.00         $333.75                 $166.88
            reimbursed at market rates for their evaluations,
            due to DCPS' failure to respond to requests.

4/15/2013   Rec/rev revised HOD to correct error on last page.       CH             0.1          0.1            $435.00         $333.75                  $33.38

Monica Browne and M.Y

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                              Attorney       Hours        Hours          Hourly Rate     Hourly Rate    Costs    Total
Service                                                                             Claimed      Allowed        Claimed         Allowed                 Allowed

5/1/2013    Corres, several, with OGC regarding wording of IEE       CH             0.7          0.7            $435.00         $333.75                 $233.63
            letters for evalutors to submit for funding.

5/2/2013    Discussion and continued corres back and forth           CH             0.2          0.2            $435.00         $333.75                  $66.75
            with OGH regarding wording of IEE authorization
            per HOD. DGC declines to word authorization to
            make it easier for evaluators to obtain payment.

5/2/2013    Prepare for IEP meeting per HOD by reviewing all         CH               1            1            $435.00         $333.75                 $333.75
            document.

5/2/2013    Prepare for IEP meeting by conferencing with Dr.         CH             1.2          1.2            $435.00         $333.75                 $400.50
            Zeitlin and Dr. Spencer, who will speak on behalf of
            their reports, per HOD.

5/2/2013    Meet with parents prior to meeting per HOD to            CH               1            1            $435.00         $333.75                 $333.75
            prepare for meeting.

5/3/2013    Participate in MDT meeting to review the two             CH             3.5          3.5            $435.00         $333.75               $1,168.13
            independent reports, determine new eligibility, if
            warranted, revise IEP, and determine placement.
            DCPS team agreed after 4 hours to change
            disability to Autism and to delay graduation, as a
            result. DCPS did not revise IEP, but agreed to
            revise and send to us. We will then determine if a
            second meeting is necessary, DCPS refused to
            discuss placement.

5/3/2013    Meet with parents following meeting. Very                CH             0.5          0.5            $435.00         $333.75                 $166.68
            pleased we conviced DCPS to change disability
            classification and delay graduation as a result.
            Conce[rn]ed that DCPS still hasn't revised the IEP.

Monica Browne and M.Y

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                              Attorney       Hours        Hours          Hourly Rate     Hourly Rate    Costs    Total
Service                                                                             Claimed      Allowed        Claimed         Allowed                 Allowed

5/3/2013    Conf with parents and relatives who attended             CH             0.3          0.3            $435.00         $333.75                 $100.13
            meeting today regarding actions of LEA
            representative and intention to file complaint due
            to her expressed anger over team agreeing to
            change disability over her wishes and her out of
            control behavior.

5/3/2013    TC with Dr. Zeitlin who wants to write letter            CH             0.2          0.2            $435.00         $333.75                  $66.75
            regarding LEA's out of control actions.

5/3/2013    TC with Dr. Spencer, who states she was appalled         CH             0.2          0.2            $435.00         $333.75                  $66.75
            at LEA's behavior and would like to write letter in
            support of a complaint.

5/3/2013    Letter to OGC explaining that I will ask evaluators      CH             0.3          0.3            $435.00         $333.75                 $100.13
            to submit their invoices based on what OGC says
            will suffice, and that we will come back to OGC it
            declined.

5/8/2013    Correspondence with Ben Persett regarding                CH             0.3          0.3            $435.00         $333.75                 $100.13
            implementation of HOD. He assures parents that
            IEP will be completed and in our hands by 5/10/13.

5/9/2013    TC with parents regarding requesting that DCPS           CH             0.2          0.2            $435.00         $333.75                  $66.75
            change placement to Frost School, as it has a
            program for students on the Autism spectrum.
            Agree to try to do this without filing a complaint.

5/10/2013   Correspondence with Ben Persett regarding IEP            CH             0.4          0.4            $435.00         $333.75                 $133.50
            due today. State that parents will file HR for failure
            to comply to HOD if we do not get the IEP by
            Monday.

Monica Browne and M.Y

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                              Attorney       Hours        Hours          Hourly Rate     Hourly Rate    Costs    Total
Service                                                                             Claimed      Allowed        Claimed         Allowed                 Allowed

5/13/2013   Rec/rev drafted by HRA. Disability classification        CH             1.1          1.1            $435.00         $333.75                 $367.13
            IEP changes to Autism. IEP is essentially the same
            IEP as was developed in October 2012. Compared
            both IEPs and only changes is the addition of some
            common core standatds. All goals are the same.
            The transition section is a photocopy.

5/13/2013   Rec/rev PWN changing to Autism. Statement                CH             0.1          0.1            $435.00         $333.75                  $33.38
            regarding parents' agreement that DCPS can
            amend without a meeting is not correct.

5/14/2013   Confer with parents after emailing them the IEP          CH             0.3          0.3            $435.00         $333.75                 $100.13
            Agree that it is not as decided at the meeting or as
            written in the meeting notes. Parents wish to
            proceed with a legal claim.
                                                                                                56.7                                                 $18,923.63

Ja'Quelle Yeager and J.Y

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                              Attorney       Hours        Hours          Hourly Rate     Hourly Rate    Costs    Total
Service                                                                             Claimed      Allowed        Claimed         Allowed                 Allowed

11/23/2012  Initial meeting with mother after speaking with her      CH             1.5          1.5            $435.00         $333.75                 $500.63
            on the phone about her child and potential legal
            case. Child is at Sharpe Health, she has severe CP,
            but receiving no services at Sharpe. Mother is
            there several times a week and observes. Mother
            has no evaluation reports and does not believe she
            has been evaluated in several years. Met her in
            her home and observed J. Mother wants to
            proceed with legal claim.

12/14/2012  Recods requests to Sharpe Health and OSE.                CH             0.5          0.5            $435.00         $333.75                 $166.88

12/15/2012  Review records mother gave me, which are                 CH             0.3          0.3            $435.00         $333.75                 $100.13
            progress reports only.

1/5/2013    Rec and begin reviewing records from Sharpe              CH             1.7          1.7            $435.00         $333.75                 $567.38
            Health. 130 pages of service trackers and progress
            reports and IEP. Only one evaluation which is a
            developmental from 2009.

1/7/2013    Continue reviewing records and preparing                 CH             0.5          0.5            $435.00         $333.75                 $166.88
            educational history in order to write HR.

1/10/2013   Review all service trackers and prepare                  CH               2            2            $435.00         $333.75                 $667.50
            spreadsheet in order to include information in
            hearing request and for comp ed purposes.

1/15/2013   Being drafting HR.                                       CH             0.7          0.7            $435.00         $333.75                 $233.63

1/15/2013   Rev dev report, which is only evaluation in file.        CH             0.4          0.4            $435.00         $333.75                 $133.50

1/15/2013   Send Dev report to 4 therapists for their expert         CH             0.1          0.1            $435.00         $333.75                  $33.38
            opinion as to whether to request evaluations at a
            hearing.

1/17/2013   Continue drafting HR, inc several phone calls with       CH             2.5          2.5            $435.00         $333.75                 $834.38
            mother to clarify facts.

Ja'Quelle Yeager and J.Y

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                              Attorney       Hours        Hours          Hourly Rate     Hourly Rate    Costs    Total
Service                                                                             Claimed      Allowed        Claimed         Allowed                 Allowed

1/18/13     Consult with psych after sending dev report to her       CH             0.2          0.2            $435.00         $333.75                  $66.75
            to see if someone so low can be further evaluated.

1/18/2013   Consult with SL therapist after sending dev report       CH             0.2          0.2            $435.00         $333.75                  $66.75
            to her to see if someone so low can be further
            evaluated and that we should ask for additional
            evaluation, to remain current, at hearing.

1/18/2013   Consult with TO therapist after sending dev report       CH             0.2          0.2            $435.00         $333.75                  $66.75
            to her to see if someone so low can be further
            evaluated and that we should ask for additional
            evaluation, to remain current, at hearing.

1/18/2013   Consult with physical therapist after sending dev        CH             0.2          0.2            $435.00         $333.75                  $66.75
            report to her to see if someone so low can be
            further evaluated and that we should ask for
            additional evaluation, to remain current, at
            hearing.

1/20/2013   Continue drafting HR, reviewing documents.               CH               1            1            $435.00         $333.75                 $333.75

1/27/2013   Meet with mother to review HR and get her                CH             0.8          0.8            $435.00         $333.75                 $267.00
            approval. Mother corrected some facts and dates.

1/28/2013   Revise HR after speaking with mother.                    CH             0.4          0.4            $435.00         $333.75                 $133.50

2/1/2013    File HR with OGC and SHO. 33 factual allegations.        CH             0.1          0.1            $435.00         $333.75                  $33.38
            approval. Mother corrected some facts and dates.

2/5/2013    Rec/rev DCPS response to Hr. Denied all                  CH             0.4          0.4            $435.00         $333.75                 $133.50
            allegations, stated did not require services, as the
            is too low to benefit.

2/6/2013    Rec/rev order on timelines, etc. Calendar all dates      CH             0.2          0.2            $435.00         $333.75                  $66.75
            and note all instructions.

Ja'Quelle Yeager and J.Y

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                              Attorney       Hours        Hours          Hourly Rate     Hourly Rate    Costs    Total
Service                                                                             Claimed      Allowed        Claimed         Allowed                 Allowed

2/6/2013    Share DCPS response with parent so that she will         CH             0.2          0.2            $435.00         $333.75                  $66.75
            have understanding as to what we will be up
            against at hearing.

2/8/2013    Negotiate RM date and time with DCPS.                    CH             0.4          0.4            $435.00         $333.75                 $133.50

2/10/2013   Prepare mother for RM.                                   CH             0.5          0.5            $435.00         $333.75                 $166.88

2/11/2013   Participate in RM. Case did not resolve, parties did     CH               0            0            $435.00         $333.75                   $0.00
            not agree to shorten timeline.

2/11/2013   Rec/rev proposed SA from OGC. Does not allow             CH             0.4          0.4            $435.00         $333.75                 $133.50
            for attorney fees and forces client to give up all
            comp ed.

2/13/2013   Meet with mother to review PSA, explain pros and         CH             0.6          0.6            $435.00         $333.75                 $200.25
            cons of accepting, and mother determines she will
            not accept PSA.

2/13/2013   Corres with OGC rejecting PSA and explaining             CH             0.5          0.5            $435.00         $333.75                 $166.88
            reasons for decision.

2/13/2013   Many emails back and forth trying to set PHC.            CH             0.4          0.4            $435.00         $333.75                 $133.50

2/13/2013   Corres with Mr. Jaffe, copy HO, asking that he not       CH             0.3          0.3            $435.00         $333.75                 $100.13
            involve HO in corres re attempting to settle case.

2/13/2013   Corres from HO asking Mr. Jaffe not to involve her       CH             0.3          0.3            $435.00         $333.75                 $100.13
            in settlement talks.

2/13/2013   Rec/rev order regarding preharing subjects.              CH             0.2          0.2            $435.00         $333.75                  $66.75

2/14/2013   Rec second PSA, this time pursuant to 1415(i)(3).        CH             0.3          0.3            $435.00         $333.75                 $100.13

2/14/2013   Letter to HO Dietrich asking that she order Mr.          CH             0.4          0.4            $435.00         $333.75                 $133.50
            Jaffe to stop involving her in set neg.

2/14/2013   Comm with mother regarding 2nd PSA. Mother               CH             0.3          0.3            $435.00         $333.75                 $100.13
            rejects this, as well.

2/15/2013   Respond/counter DCPS PSA.                                CH             0.5          0.5            $435.00         $333.75                 $166.88

2/15/2013   Rev corres from Mr. Jaffe to HO stating that I am        CH             0.2          0.2            $435.00         $333.75                  $66.75
            filing frivolous lawsuit.

Ja'Quelle Yeager and J.Y

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                              Attorney       Hours        Hours          Hourly Rate     Hourly Rate    Costs    Total
Service                                                                             Claimed      Allowed        Claimed         Allowed                 Allowed

2/15/2013   Corres from HO asking that I file a motino to stop        CH             0.2          0.2            $435.00         $333.75                  $66.75
            settlement talks from entering record.

2/15/2013   Rec/rev stronger letter from HO Dietrich asking          CH             0.2          0.2            $435.00         $333.75                  $66.75
            Jaffe not to include her in set talks.

2/15/2013   Prepare motion to strike set negs from the record,       CH             0.8          0.8            $435.00         $333.75                 $267.00
            specifically asking Mr. Jaffe to withdraw his offer of
            set from the HO record.

2/16/2013   Begin researching local rules and federal rules          CH               2            2            $435.00         $333.75                 $667.50
            regarding set talks and offers of judgment.

2/16/2013   Consult with colleagues and review case law              CH               1            1            $435.00         $333.75                 $333.75
            regarding using courts rules and FRCP as analogy
            here. Determine this is how to proceed.

2/17/2013   Review all emails back and forth with OGC, more          CH             1.2          1.2            $435.00         $333.75                 $400.50
            than 30, to determine which ones involve
            settlement discussions, assemble these documents
            and prepare to include them as exhibits which
            should be excluded from the record.

2/17/2013   Prepare exhibits for filing.                             CH             0.4          0.4            $435.00         $333.75                 $133.50

2/18/2013   Complete Memo in Support of Motion by                    CH             2.5          2.5            $435.00         $333.75                 $834.38
            continuing research and writing memo.

2/18/2013   Finalize memo in support of motion.                      CH             0.4          0.4            $435.00         $333.75                 $133.50

2/19/2013   File Motion to Prohibit Settlement Negotiations          CH             0.1          0.1            $435.00         $333.75                  $33.38
            from Entering Record, including all supporting
            documents.

2/19/2013   Recirev DCPS' response to Motion to Strike               CH             0.3          0.3            $435.00         $333.75                 $100.13
            Settlement Negotia[t]ions from the Record.

2/21/2013   Prepare for PHC by reviewing all relevant records        CH             0.5          0.5            $435.00         $333.75                 $166.88
            and notes from my research.

Ja'Quelle Yeager and J.Y.

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                              Attorney       Hours        Hours          Hourly Rate     Hourly Rate    Costs    Total
Service                                                                             Claimed      Allowed        Claimed         Allowed                 Allowed

2/22/2013   Participate in prehearing conf. HO reframed issues       CH             1.2          1.2            $435.00         $333.75                 $400.50
            into 5 separate issues and certified them for DPH.

2/24/2013   Rec/rev prehearing order                                 CH             0.3          0.3            $435.00         $333.75                 $100.13

2/24/2013	  Rec/rev Order granting our Motion to strike              CH             0.4          0.4            $435.00         $333.75                 $133.50
            settlement talks.

2/28/2013   Rec/rev DCPS' amended response to HR                     CH             0.2          0.2            $435.00         $333.75                  $66.75

3/1/2013    TC with mother to advise her of amended response         CH             0.2          0.2            $435.00         $333.75                  $66.75
            and explain implications.

3/1/2013    Corres with Jaffe requesting that he assist us in        CH             0.3          0.3            $435.00         $333.75                 $100.13
            getting observers into classroom, as this is part of
            evaluation, and DCPS policy states it is allowed.

3/2/2013    Rec/rev DCPS obs policy report and form required         CH             0.3          0.3            $435.00         $333.75                 $100.13
            for observers from SEC at Sharpe Health.

3/2/2013    Rec notification from OGC, Jaffe that observers will     CH             0.2          0.2            $435.00         $333.75                  $66.75
            not be allowed in classroom to observe J as part of
            the ind evaluation they are preparing for and for
            hearing preparation, despite authorization from
            SEC.

3/2/2013    Corres with SEC at Sharpe who states that she            CH             0.2          0.2            $435.00         $333.75                  $66.75
            must reverse her position to allow observers into
            classroom, per advice from OGC.

3/3/2013    Second request to Mr. Jaffe for help, stating I will     CH             0.2          0.2            $435.00         $333.75                  $66.75
            file motion if he does not cooperate.

3/3/2013    Final corres from Mr. Jaffe. He will not allow           CH             0.2          0.2            $435.00         $333.75                  $66.75
            observers to enter Sharpe Health to observe.

3/3/2013    Begin drafting motion to allow observers into the        CH               1            1            $435.00         $333.75                 $333.75
            classroom prior to hearing.

Ja'Quelle Yeager and J.Y.

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                              Attorney       Hours        Hours          Hourly Rate     Hourly Rate    Costs    Total
Service                                                                             Claimed      Allowed        Claimed         Allowed                 Allowed

3/4/2013    Begin drafting Memo in Support of Motion, Inc            CH               2            2            $435.00         $333.75                 $667.50
            researching case law and OSEP documents
            regarding need to fully prepare for hearing by
            observing student.

3/4/201     Continued extensive research from case law, OSEP         CH             1.7          1.7            $435.00        $333.75                 $567.38
            documents, consu[l]tation with colleagues
            regarding parent's right to observe student in
            classroom or parent's advocate's right, inc if it
            relates to upcoming hearing. Determine that we
            have strong motion to submit.

3/5/2013    Review all possible exhibits, determine which to         CH             0.5          0.5            $435.00         $333.75                 $166.88
            use, and assemble them for submission.

3/6/2013    Complete memo in support of motion to allow              CH               1            1            $435.00         $333.75                 $333.75
            observers into classroom.

3/7/2013    File motion to Allow Independent Observers into          CH             0.1          0.1            $435.00         $333.75                  $33.38
            Classroom to Observe, including memo, exhibits,
            and proposed order.

3/9/2013    Rec/rev DCPS response to our Motion.                     CH             0.3          0.3            $435.00         $333.75                 $100.13

3/18/2013   Rec/rev order on our motion to Allow Observers           CH             0.4          0.4            $435.00         $333.75                 $133.50
            into the Classroom. Granted.

3/18/2013   Corres with Jaffe as to how to set up observations,      CH             0.3          0.3            $435.00         $333.75                 $100.13
            following our successful motion. Agree that I will
            deal directly with SEC.

3/18/2013   TCs with all 4 experts/evaluators regarding              CH             0.5          0.5            $435.00         $333.75                 $166.88
            [whether] they will be allowed into school to
            observe and they should do so immediately,
            before disclosures are due on 3/20.

3/18/2013   Corres with Jaffe asking him to provide me with          CH             0.3          0.3            $435.00         $333.75                 $100.13
            the name of DCPS employee who can bind the
            agency, so that I can determine who to talk to, per
            Dietrich's order. Jaffe refuses.

Ja'Quelle Yeager and J.Y.

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                              Attorney       Hours        Hours          Hourly Rate     Hourly Rate    Costs    Total
Service                                                                             Claimed      Allowed        Claimed         Allowed                 Allowed

3/18/2013   Receive new observation policy from SEC.                 CH             0.3          0.3            $435.00         $333.75                 $100.13
            Corres with all our observers, providing them the
            observation policy and confidentiality agreement
3/19/2013   and directing them to sign and provide short             CH             0.5          0.5            $435.00         $333.75                 $166.88
            observation report within 2 days of their obs, per
            new DCPS policy.

3/19/2013   Many emails, back and forth regarding how SEC            CH             0.7          0.7            $435.00         $333.75                 $233.63
            intends to handle new obs[e]rvation policy and
            agreement that our obs[e]rvers have to sign prior
            to entering classroom.

3/20/2013   Rec/rev ind PT obser[v]ation report. Recommends          CH             0.4          0.4            $435.00         $333.75                 $133.50
            services and comp ed. Ask her to correct it to just
            reflect the classroom obs part, as that it what the
            order states.

3/23/2013   Begin reviewing all documents in order to                CH             1.3          1.3            $435.00         $333.75                 $433.88
            determine what to submit for disclosures and start
            preparing disclosure letter.

3/24/2013   Continue preparing disclosures.                          CH             1.5          1.5            $435.00         $333.75                 $500.83

3/26/2013   Rec/rev psych obs report.                                CH             0.3          0.3            $435.00         $333.75                 $100.13

3/26/2013   Rec/rev S/L obs report.                                  CH             0.2          0.2            $435.00         $333.75                  $66.75

3/26/2013   Rec/rev PT corrected obs report.                         CH             0.3          0.3            $435.00         $333.75                 $100.13

3/26/2013   Rec/rev TO obs report.                                   CH             0.2          0.2            $435.00         $333.75                  $66.75

3/26/2013   Continue preparing disclosures, inc providing            CH               4            4            $435.00         $333.75               $1,335.00
            thrust of testimony for all expert witnesses.

3/27/2013   File disclosures with OGC and SHO. 29 documents,         CH             0.1          0.1            $435.00         $333.75                  $33.38
            4 expert witnesses.

3/27/2013   Notice to Jaffe that I did not receive disclosures.      CH             0.1          0.1            $435.00         $333.75                  $33.38

3/28/2013   Begin hearing preparation by wilting opening             CH             1.5          1.5            $435.00         $333.75                 $500.63
            statement

3/28/2013   Continue hearing preparaion by starting to prepare       CH               2            2            $435.00         $333.75                 $667.50
            questions for all 4 experts.

Ja'Quelle Yeager and J.Y.

Brighthaupt, et al. v. DC 13-1294

Date of     Description                                              Attorney       Hours        Hours          Hourly Rate     Hourly Rate    Costs    Total
Service                                                                             Claimed      Allowed        Claimed         Allowed                 Allowed

3/29/2014   Continue preparing questions for experts and             CH               1            1            $435.00         $333.75                 $333.75
            begin working on questions for mother.

3/29/2013   Send questions to each expert and make plans to          CH             0.1          0.1            $435.00         $333.75                  $33.38
            prepare them.

4/1/2013    Prepare Dr. Zeitlin for DPH.                             CH             0.3          0.3            $435.00         $333.75                 $100.13

4/1/2013    Prepare Dr. Paleg for DPH.                               CH             0.3          0.3            $435.00         $333.75                 $100.13

4/1/2013    Prepare Ms. Masci for DPH.                               CH             0.6          0.6            $435.00         $333.75                 $200.25

4/1/2013    Prepare Ms. Askew for DPH.                               CH             0.4          0.4            $435.00         $333.75                 $133.50

4/1/2013    Rev prehearing order and determine to not to             CH             0.3          0.3            $435.00         $333.75                 $100.13
            forward on every issue.

4/2/2013    Prepare pleading, notice of withdrawal of issues 3       CH             0.3          0.3            $435.00         $333.75                 $100.13
            and 4 in complaint.

4/2/2013    File pleading with SHO and OGC.                          CH             0.1          0.1            $435.00         $333.75                  $33.38

4/2/2013    Meet with mother to prepare her for DPH,                 CH             2.2          2.2            $435.00         $333.75                 $734.25
            reviewed all obs reports and focused heavily on
            facts of past two years, what she had observed in
            classroom, and potential cross x.

4/2/2013    Final hearing prep, go over all questions and            CH             1.5          1.5            $435.00         $333.75                 $500.63
            argument and disclosure documents.

4/3/2013    Participate in DPH. Hearing started 20 minutes           CH             2.3          2.3            $435.00         $333.75                 $767.63
            late. OGC needed to print out documents and HO
            in conference with CHO. Parties agreed to recess
            for settlement discussion. Parties agreed to
            settlement terms and returned to hearing room to
            place settlement on the record in a Consent Order.

4/4/2013    Rec/rev Consent order as agreed to at DPH.               CH             0.3          0.3             $435.00        $333.75                 $100.13

Ja'Quelle Yeager and J.Y.

Brighthaupt, et al. v. DC 13-1294

Date of                                                                    Hours     Hours   Hourly Rate    Hours Rate               Total
Service             Description                               Attorney    Claimed   Allowed    Claimd          Allowed    Costs     Allowed

           Notify PT that she may go ahead and complete her
           evaluation. Discuss with her that she spent 2 hours
4/5/2013   in her observation and that she can write that          CH         0.3      0.3      $435.00        $333.75               $100.13
           report up, as she says she actually did a complete
           evaluation at the time.

4/5/2013   Notify OT that she can move forward with a full
           evaluation.                                             CH         0.2      0.2      $435.00        $333.75                  $66.75

           Notify S/L therapist that she can move forward
4/5/2013   with a full evaluation.                                 CH         0.2      0.2       $435.00       $333.75                  $66.75

4/8/2013   Rec/rev IEE letter authorizing evaluations per HOD.     CH         0.1      0.1       $435.00       $333.75                  $33.38

4/11/2013  Rec/rev revised IEE letter from DCPS.                   CH         0.1      0.1       $435.00       $333.75                  $33.38

4/15/2013  Rec/rev final PT evaluation report.                     CH         0.5      0.5       $435.00       $333.75                 $166.88

5/31/2013  Rec/rev ind OT report. Recommends services and
           comp ed.                                                CH         0.4      0.4       $435.00       $333.75                  $133.50

5/31/2013  Ret/rev ind S/L report. Recommends services.            CH         0.4      0.4       $435.00       $333.75                  $133.50

6/2/2013   RC with mother, notify her that we have all             CH         0.2      0.2       $435.00       $333.75                   $66.75
           reports, that we can accept them and send to
           DCPS. Agree to meet with her to go over reports.

6/3/2013   Send all reports to DCPS per HOD.                       CH         0.1       0.1      $435.00       $333.75                   $33.38

6/4/2013   Negotiate with CCM regarding recommendation             CH         0.3       0.3      $435.00       $333.75                   $100.13
           from two evaluators that an AT evaluation be
           performed. CCM agrees to issue IEE letter at IEP
           meeting, if team agrees to evaluation.

6/14/2013  Meet with Ms. Yeager prior to IEP meeting to go
           over final preparation, inc going over all ind           CH           2         2     $435.00        $333.75                  $667.50
           evaluations.

Ja'Quelle Yeager and J.Y.

Brighthaupt, et al. v. DC 13-1294

Date of                                                                    Hours     Hours   Hourly Rate    Hours Rate               Total
Service             Description                               Attorney    Claimed   Allowed    Claimd          Allowed    Costs     Allowed

           Participate in IEP meeting per HOD. DCPS refused
           to provide any related services, despite
           recommendations from all ind evaluators. CCM
6/14/2013  refused to issue IEE letter for assistive technology   CH         3.5      3.5      $435.00        $333.75                 $1,168.13
           evaluation, despite my showing her the email
           where she stated she would do so at the IEP
           meeting. CCM said she had changed her mind,
           that DCPS will do the evaluations.

           Tconf with mother. Agree that we will file new HR
6/18/2013  based on DCPS' refusal to provide any related          CH         0.3      0.3      $435.00        $333.75                 $100.13
           services and develop appropriate goals.

                                                                                     72.5                                             $24 196 88

3/28/2013  Copy disclosures for DPH to be used by CH.                                                                      $24.30

3/28/2013  Copy disclosures for DPH to be used by HO.                                                                      $24.30

3/29/2013  Copy disclosures for DPH to be used by Dr. Zeitlin.                                                             $24.30

3/30/2013  Copy disclosures for DPH to be used by Dr. P[alleg.                                                             $24.30

3/31/2013  Copy disclosures for DPH to be used by Ms. Askew.                                                               $24.30

4/1/2013   Copy disclosures for DPH to be used by Ms. Masci.                                                               $24.30

4/2/2013   Copy disclosures for DPH to be used by parent.                                                                  $24.30
                                                                                                                           $170.10

FootNotes


1. All references to the United States Code or the District of Columbia Code are to the electronic versions that appear in Westlaw or Lexis.
2. Laffey v. Nw. Airlines, Inc., 572 F.Supp. 354 (D.D.C. 1983) aff'd in part, rev'd in part, 764 F.2d 4 (1984), cert. denied, 472 U.S. 1021, 105 S.Ct. 3488, 87 L.Ed.2d 622 (1985).
3. This is not to suggest that fees are not discounted on other grounds.
4. Agapito v. Dist. of Columbia, 525 F.Supp.2d 150, 152 (D.D.C. 2007).
5. [# 17-4].
6. [# 17-5].
7. 20 U.S.C. § 1415(i)(3)(E).
8. Since July 24, 2009, the federal minimum wage has been $7.25 per hour. United States Department of Labor, http://www.dol.gov/dol/topic/wages/minimumwage.htm (last visited Mar. 20, 2014).
9. See Gary G. v. El Paso Indep. Sch. Dist., 632 F.3d 201, 210 (5th Cir. 2011) ("[W]e do not hold that every plaintiff rejecting a settlement offer because it does not include such fees, is per se, not substantially justified in rejecting it.") (emphasis in original).
Source:  Leagle

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