I would keep it simple at first and only submit 2 documents to JPM:
1. Order and Opinion of Judge Block - US Court of Federal Claims - dated Aug 31, 2015.
2. The filing by JPM - in the US Court of Federal Claims - in which JPM calculates the Tax Gross-Up. It is the " Plaintiffs Status Report " and was filed on June 19, 2015.
I would ask JPM to please note in the " Order and Opinion " that the Tax Gross-Up is based on the value of the LTWs and that the LTWs are stated as " ownership interests in the Anchor Litigation " in the " Order and Opinion ".
The filing by JPM will state the Attorneys' names. It also calculates the Tax Gross-Up based on the value of the LTWs at the time it purchased WMB.
Sidedraft has already provided you with a link to the Order and Opinion of Aug 31, 2015. The JPM filing " Plaintiffs Status Report " - on June 19, 2015 is in the link to the Directory sidedraft provided.