NORA BETH DORSEY, Chief Special Master.
On October 23, 2015, James Young ("petitioner") filed a petition for compensation under the National Vaccine Injury Compensation Program, 42 U.S.C. §300aa-10, et seq.,
On May 22, 2019, petitioner filed an application for attorneys' fees and costs. Motion for Attorney Fees and Costs ("Fees App.") (ECF No. 81). Petitioners request compensation in the amount of $45,300.64, representing $42,588.90 in attorneys' fees and $2,711.74 in costs. Fees App. at 1. In compliance with General Order No. 9, petitioner represents that he has personally incurred costs of $1,132.32.
For the reasons discussed below, the undersigned GRANTS petitioner's motion and awards a total of $46,374.99.
Under the Vaccine Act, the special master shall award reasonable attorneys' fees and costs for any petition that results in an award of compensation. 42 U.S.C. § 300aa-15(e)(1). When compensation is not awarded, the special master "may" award reasonable attorneys' fees and costs "if the special master or court determines that the petition was brought in good faith and there was a reasonable basis for the claim for which the petition was brought."
The Federal Circuit has approved use of the lodestar approach to determine reasonable attorney's fees and costs under the Vaccine Act.
Counsel must submit fee requests that include contemporaneous and specific billing records indicating the service performed, the number of hours expended on the service, and the name of the person performing the service.
A special master need not engage in a line-by-line analysis of a petitioner's fee application when reducing fees.
For attorney Ed Kraus, petitioner requests an hourly rate of $375.00 per hour for work performed in 2015, $389.00 per hour for work performed in 2016; $398.00 per hour for work performed in 2017, and $409.00 per hour for work performed in 2018, and $418.00 per hour for work performed in 2019. For attorney Amy Kraus, petitioner requests $289.00 per hour for work performed in 2014, $300.00 per hour for work performed in 2015, $311.00 per hour for work performed in 2016, $327.00 per hour for work performed in 2018, and $334.00 per hour for work performed in 2019.
The undersigned finds the requested rates reasonable and in conformance with what Chicago Kent attorneys have previously been awarded in the Vaccine Program.
Petitioner requests compensation for 129.8 total hours billed by Mr. Kraus and his associates. Fees App. at 11. Petitioner has submitted adequate billing logs listing the date, amount of time, individual, and the nature of each task. The undersigned has reviewed the billing records and does not find any entries to be objectionable, and respondent has not objected to any particular entry either. Accordingly, the undersigned finds the hours expended on this matter to be reasonable. Petitioner is therefore entitled to the full amount of attorneys' fees sought, $42,588.90.
Petitioner requests a total of $2,711.74 in attorneys' costs. This amount is comprised of acquiring medical records, travel to meet with petitioner and to the damages hearing held in Washington, DC, and the Court's filing fee. Petitioner has provided adequate documentation supporting the requested costs and all appear reasonable in the undersigned's experience. Accordingly, petitioner shall be reimbursed the full amount of costs sought.
Petitioner requests $1,132.32 for costs personally incurred associated with travel to attend the damages hearing in Washington, DC. Upon review of the requested costs and supporting documentation, the undersigned finds that a reduction is necessary for excessive hotel costs. The records indicate that petitioner stayed one night at the Willard hotel at a cost of $532.21. Fees App. at 56. Petitioner's counsel, on the other hand, stayed at a Marriot Hotel for $474.24, indicating that less excessively expensive options were available. The undersigned will reduce the award of costs by $57.97 to account for difference between the two rooms. Petitioner is therefore awarded costs of
Based on all of the above, the undersigned finds that it is reasonable compensate petitioner and his counsel as follows:
In the absence of a motion for review filed pursuant to RCFC Appendix B, the Clerk of Court