Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 1 of 41 PageID #: 446   ✁ ✂ ✄ ✂ ☎ ✆ ✝ ✞ ✂ ✝ ✟ ✠ ✠ ✡ ☛ ✠ ✠ ☞ ✌ ✍ ✌ Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 2 of 41 PageID #: 447 1 1 US DISTRICT COURT 2 EASTERN DISTRICT OF NEW YORK -----------------------------------------x ANDREW GREENE, 3 4 5 6 7 8 9 10 11 Plaintiff, -vPARAMOUNT PICTURES CORPORATION, a Delaware corporation, RED GRANITE PICTURES, INC., a California corporation; APPIAN WAY, LLC, a California limited liability company, SIKELIA PRODUCTIONS, INC., a Delaware corporation and JOHN AND JANE DOES 1 THROUGH 10, Defendants. Case No.: 14-cv-1044 (JS) (SIL) -----------------------------------------x 12 13 110 West 57th Street New York, New York 14 15 May 27, 2016 1:33 p.m. 16 17 Deposition of MARTIN SCORSESE, pursuant to 18 Notice, before Darby Ginsberg, RPR, a Notary 19 Public of the State of New York. 20 21 22 23 24 25 ELLEN GRAUER COURT REPORTING CO., LLC 126 East 56th Street, Fifth Floor New York, New York 10022 212-750-6434 Ref: 112611 Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 3 of 41 PageID #: 448 2 1 A P P E A R A N C E S: 2 3 LAW OFFICE OF AARON M. GOLDSMITH 4 Attorneys for Plaintiff 5 225 Broadway, Suite 715 6 New York, New York 10007 7 BY: AARON M. GOLDSMITH, ESQ. 8 PHONE 914.588.2679 9 aarongoldsmithlaw@gmail.com 10 11 LEOPOLD, PETRICH & SMITH, P.C. 12 Attorneys for Defendants Paramount Pictures 13 Corporation and Red Granite Pictures 14 Suite 3110 15 2049 Century Park East 16 BY: VINCENT COX, ESQ. 17 PHONE 18 vcox@lpsla.com 19 20 21 22 23 24 25 310.277.3333 Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 4 of 41 PageID #: 449 3 1 A P P E A R A N C E S: (CONTINUED.) 2 3 BLOOM, HERGOTT, DIEMER, ROSENTHAL, LAVIOLETTE, 4 FELDMAN, SCHENKMAN & GOODMAN, LLP 5 Attorneys for Defendants, Appian Way, LLC and 6 Sikelia Productions, Inc. 7 150 South Rodeo Drive, Third Floor 8 Beverly Hills, California 90212 9 BY: RALPH P. BRESCIA, ESQ. 10 PHONE 310.859.6898 11 FAX 310.860.6898 12 rpb@bhdrl.com 13 14 15 16 17 18 19 20 21 22 23 24 25 Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 5 of 41 PageID #: 450 4 1 ------------------- I N D E X ------------------- 2 WITNESS EXAMINATION BY 3 MARTIN SCORSESE MR. GOLDSMITH PAGE 6 4 5 6 ---------------- E X H I B I T S ---------------- 7 EXHIBIT DESCRIPTION 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 (NO EXHIBITS MARKED) FOR I.D. Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 6 of 41 PageID #: 451 5 1 S T I P U L A T I O N S 2 3 IT IS HEREBY STIPULATED AND AGREED, by and 4 among counsel for the respective parties hereto, 5 that the filing, sealing and certification of the 6 within deposition shall be and the same are 7 hereby waived; 8 9 10 IT IS FURTHER STIPULATED AND AGREED that all objections, except as to form of the question, shall be reserved to the time of the trial; 11 IT IS FURTHER STIPULATED AND AGREED that the 12 within deposition may be signed before any Notary 13 Public with the same force and effect as if 14 signed and sworn to before the Court. 15 16 17 18 19 20 21 22 23 24 25 * * Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 7 of 41 PageID #: 452 6 1 MARTIN SCORSESE, called as a witness, having been 2 first duly sworn, was examined and testified as 3 follows: 4 5 EXAMINATION BY 6 MR. GOLDSMITH: 7 Q. Mr. Scorsese, my name is Aaron 8 Goldsmith. I represent Andrew Greene, who is the 9 plaintiff in this case. 10 A. Thank you. 11 Q. If at any time you feel like you need to 12 speak to your counsel, please let me know. 13 A. Uh-huh. 14 Q. If at any time you need a break, please 15 let me know, although I don't anticipate we are 16 going to be very long this afternoon. 17 A. All right. 18 Q. And if you don't understand my question, 19 let me know. 20 A. All right. 21 Q. Or if you are guessing, just please let I will try to rephrase it. 22 me know you are trying to estimate or guess. 23 Okay? 24 A. Okay. 25 Q. So let's start off. By neighborhood, Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 8 of 41 PageID #: 453 7 1 2 SCORSESE where do you live? 3 A. I live on 64th Street. 4 Q. How long have you lived there? 5 A. I can't remember. 6 Around -- I think around five years. 7 Q. And where did you live before that? 8 A. 62nd Street. 9 Q. Where did you go to college? 10 A. Washington Square College, New York 11 University. 12 Q. What years did you attend? 13 A. '60 to '64/'65. 14 Q. Did you graduate? 15 A. Yes. 16 Q. After Washington Square College, did you 17 attend any other educational programs? 18 A. Not that I recall. 19 Q. What did you do once you graduated from 20 21 Washington Square College? A. Different positions in film making in 22 New York City, including an instructor slash 23 associate professor at New York University 24 Washington Square College. 25 Q. What is your current profession? Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 9 of 41 PageID #: 454 8 1 SCORSESE 2 A. Film maker, film director. 3 Q. How long have you been practicing as a 4 film maker, film director? 5 A. I would say -- I don't know whether to 6 include the short films or the features. 7 shorts films 1963, and the features from 1969. 8 9 Q. 12 13 How many feature films have you directed? 10 11 The A. so. I don't really remember. Maybe more. Q. Maybe less. I think 30 or I am sorry. Have you produced or created any films that you have not directed? 14 A. Yes, I have. 15 Q. How many of those films are there? 16 A. About the same amount. 17 Q. Did you have a role in the film The Wolf 18 of Wall Street? 19 A. Yes. 20 Q. What was that role? 21 A. I was the director. 22 Q. Did you have any other roles or 23 responsibilities other than director? 24 A. No. 25 Q. How did you get introduced to the Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 10 of 41 PageID #: 455 9 1 2 SCORSESE project, The Wolf of Wall Street? 3 A. The script was given to me by Terry 4 Winter. 5 Q. Do you recall when it was given to you? 6 A. I am sorry. Give me a second. I would 7 think right around the time I did The Departed, I 8 think, which was almost ten years ago. 9 Q. Somewhere in the neighborhood of 2005 -- 10 A. 2005, 2006 possibly. 11 Q. When was the film actually made? 12 A. Sorry. 13 Hugo -- I am rusty on dates. 14 MR. COX: 15 THE WITNESS: 16 MR. COX: 17 Sorry. After I can help a little bit? Please. 2012? The release date for the film was 2013. 18 THE WITNESS: 19 shooting, then. 20 Q. Okay. So 2012 was the actual Do you recall why there was such 21 a long process to make the film from when 22 Mr. Winter just presented to you and when it 23 actually was filmed? 24 A. 25 making. Not really, no. I had other films I was It just seemed to develop that way. Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 11 of 41 PageID #: 456 10 1 2 SCORSESE Q. Do you recall the approximate dates of 3 when you were shooting the film? 4 "the film," I always mean The Wolf of Wall 5 Street. 6 A. 7 8 9 10 Correct. And when I say It had to be the fall of 2012, then. Q. Do you recall any approximate dates or is the fall the best estimate you have? A. I think that's the best estimate. We 11 had 87 days shooting. We were interrupted by the 12 hurricane, and we finished then a week and a half 13 into the new year. 14 because of the hurricane. There was a major break 15 Q. Did you have any role in script 16 development? 17 A. Yes. 18 Q. And what was that role? 19 A. As director. 20 Q. Could you describe your activities that 21 you performed as the director for script 22 development? 23 A. Script meetings. In the meetings 24 discussion of structure, discussion of dialogue, 25 discussion of style, all of this. Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 12 of 41 PageID #: 457 11 1 SCORSESE 2 Q. Who were those meetings with? 3 A. Terry Winter and Leo DiCaprio. 4 Q. Do you recall how often you would have 5 6 7 8 9 those meetings? A. Not really, but I think -- not really. Not really. Q. Do you have a particular habit that you engage in with the feature films that you direct 10 in regards to those kind of script development 11 meetings? 12 13 14 A. Not necessarily. It depends on the story. Q. Do you recall how frequently you may 15 have engaged in those meetings with Mr. Winter 16 and Mr. DiCaprio? 17 A. Frequently during I would think 2012. 18 Q. As part of those meetings, would you 19 make decisions about any revisions to the script? 20 A. Yes. 21 Q. What kinds of decisions would you make? 22 A. Again, on structure, dialogue, 23 interaction of the characters. 24 to do with the story, really. 25 Q. Anything that had So is it fair to say that there were Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 13 of 41 PageID #: 458 12 1 SCORSESE 2 multiple revisions of the script that Mr. Winter 3 wrote as a result of those meetings? 4 A. I believe so. 5 Q. Did you read the book The Wolf of Wall 6 Street? 7 A. Yes. 8 Q. Do you recall how many times you read 10 A. I read it once. 11 Q. Do you recall when? 12 A. It could be ten years ago. 9 it? It could be 13 when I was doing The Departed, probably 2007, '8, 14 maybe. 15 Q. Other than reading the book, did you 16 engage in any research for the characters or the 17 film? 18 A. No. Not -- the only research I would 19 engage in would be, how does a -- what an office 20 looks like, what kind of computers they had, that 21 sort of thing. 22 23 Q. Did you speak to Jordan Belfort at all, the author of the book? 24 A. No. 25 Q. Did you speak to any other individuals Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 14 of 41 PageID #: 459 13 1 SCORSESE 2 who may have been associated with Stratton 3 Oakmont? 4 A. No. 5 Q. Once you began the revision process 6 pre-shooting, do you recall if you were involved 7 in any decision-making regarding the names of 8 characters? 9 10 A. Other than the names of the characters that were presented to me in the script? 11 Q. Yes. 12 A. That's it. 13 14 15 I was given the name. I said yes, and we moved on. Q. Did you have any input into changing of names during the revisions of scripts? 16 A. No. 17 Q. Do you know who might have? 18 A. That's confusing. I honestly don't 19 know. It's a creative thing. 20 comes up with a name, and then it's cleared. 21 These things are supposed to be cleared. 22 was -- 23 Q. What do you mean -- 24 A. Yeah. 25 Q. I am sorry. I don't know who Were you finished? So I I don't Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 15 of 41 PageID #: 460 14 1 2 SCORSESE want to jump on you only because of the reporter. 3 A. Yes. 4 Q. What do you mean supposed to be cleared? 5 A. The name of a person is cleared by the 6 legal department or those in charge of 7 production. 8 9 10 Q. Okay. For The Wolf of Wall Street, what were the companies that were in charge of the production? 11 A. Red Granite. 12 Q. Were there other companies? 13 A. Not that I recall. 14 Q. Was Sikelia involved in the production? 15 A. So far as I am the director, I don't 16 recall any other official actual production. 17 we have a production credit on that? 18 remember. Did I don't Sorry. 19 Q. If I were to -- 20 A. Yes. 21 Q. -- make a representation to you -- 22 A. Yeah, yeah. 23 Q. -- that Sikelia has a production credit 24 25 on it, would that refresh your recollection? A. Then we have a production. Okay. Then Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 16 of 41 PageID #: 461 15 1 SCORSESE 2 we did. 3 Q. 4 Okay. Within Sikelia -- and by the way, am I pronouncing that correctly? 5 A. Yes. 6 Q. All right. 7 A. Well, it's Greek. 8 Sicily. 9 Q. I just want to make sure. Sikelia. It means By the way, is there any affiliation 10 between Sikelia or Sikelia Productions and 11 Sikelia Films? 12 A. I don't know. 13 Q. Okay. Sorry. Are you familiar with an Italian 14 film company based out of Sicily named Sikelia 15 Films? 16 A. No. Interesting. 17 Q. Do you have an idea as to anyone at 18 Sikelia Productions that may have participated in 19 any clearance activities? 20 A. I guess our producer, Emma Koskoff, I 21 guess, who was the person I dealt with most of 22 the time, may have been involved. 23 24 25 Q. Sure. Did Mark Koskoff -- I am sorry -- did I hear that correctly? A. Emma. May have. Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 17 of 41 PageID #: 462 16 1 2 SCORSESE Q. Emma Koskoff. Did she have any roles 3 and responsibilities directly related to The Wolf 4 of Wall Street as far as you remember? 5 A. Well, she was one of the producers. 6 Q. And so what were her roles and 7 8 9 responsibilities as you understood them? A. To be able to get the production made the way I wanted, which means dealing with daily 10 day-to-day issues: 11 actors' availability, all sorts of issues of that 12 kind. 13 was -- she was sort of in between I would say Red 14 Granite and me in a way. 15 16 17 Shooting, weather, location, Q. A very, very hands-on daily situation that Okay. Now, what is your title with Sikelia Productions? A. I'm sorry. I don't know. 18 Ralph, do you know? 19 MR BRESCIA: 20 THE WITNESS: I think it's president. Sorry. We just make 21 movies. I don't know about the title. 22 Q. Fair enough. 23 A. President. 24 Q. For the next line of questioning -- 25 A. Okay. I am sorry. Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 18 of 41 PageID #: 463 17 1 SCORSESE 2 Q. -- to the best of your knowledge -- 3 A. Yes. 4 Q. -- is the preamble on all of these. 5 A. I understand. 6 Q. Do you know where Sikelia Productions is 7 registered as a corporation, which state it is 8 registered? 9 10 11 A. I think in New York or is it Delaware? I am not sure. Q. If I were to inform you that it was 12 registered in New York as a Delaware corporation, 13 would that refresh your recollection? 14 A. No. 15 Q. Okay. 16 17 18 Do you know when it may have been registered in New York as a Delaware corporation? A. No. I don't think so, although I could guess. 19 Q. When would you guess? 20 A. After Cappa was changed, Cappa 21 Productions, so 2005 maybe. 22 possible? 2004, is that 23 Q. If I were to -- 24 A. Could you refresh my memory? 25 Q. -- give you the date of February 29, Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 19 of 41 PageID #: 464 18 1 2 SCORSESE 2016, would that refresh your recollection? 3 A. No. 4 Q. Okay. Would you know if it was 5 previously registered with California as a 6 Delaware corporation? 7 A. No. 8 Q. Are you familiar with an individual 9 No. named Jacob Bloom? 10 A. Yes. 11 Q. Are you aware of whether he is listed as 12 an agent of service for Sikelia Productions? 13 A. 14 lawyer. 15 Q. I am aware that, as I say, he is my Now, as to the actual shooting of the 16 film, did you encourage improvisation by the 17 actors? 18 A. Yes. 19 Q. Did any of the improvisation actually 20 make it to the final cut of the film? 21 A. Yes. 22 Q. If you had an ability to estimate how 23 much improvisation made it to the final cut, 24 could you do so? 25 A. That would be very difficult, I am Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 20 of 41 PageID #: 465 19 1 SCORSESE 2 afraid. 3 over the years since a film I made called "Mean 4 Streets" back in 1973. 5 me to determine how much improvisation 6 actually -- actually reaches the screen, more so 7 in Raging Bull and Goodfellas certainly than in 8 Taxi Driver, for example, yet I would say 9 20 percent of Taxi Driver is improvised. 10 I go by the style of the way I worked So that it's very hard to This one I couldn't tell you. This has 11 a life of its own that took on and fictionalized 12 everything and became its own -- it took on its 13 own nature. 14 Q. Is there a particular kind of film that 15 you think lends itself more to improvisation than 16 others that you have directed? 17 A. Yes. I think -- I think, as I said, a 18 film that is placed in the world, a world where 19 it is less formal, where there is a -- groups of 20 people work together; people know each other very 21 well, more I would think gregarious, more lively, 22 certainly, yes. 23 think The Wolf of Wall Street does fit into that 24 category. 25 Yes. There is certainly -- I What was the one before? Shutter Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 21 of 41 PageID #: 466 20 1 SCORSESE 2 Island, no. 3 Innocence, no. 4 the characters in the world, again, 5 fictionalized, of course, Edith Wharton's book. 6 Q. Departed, yes. Exactly. But Age of The deal there was restraint in So among the couple of films that you 7 mentioned as having a greater improve aspect of 8 it, Goodfellas, The Departed, The Wolf of Wall 9 Street -- 10 A. Taxi Driver. 11 Q. And Taxi Driver, is there any unique 12 qualities that you see that sort of bind those 13 together that lend them to the improvisation? 14 A. Again, I think I would have to repeat 15 that it depends on the world of the characters 16 that they inhabit. 17 to be in a world that is open to a great deal of 18 activity, I think, and working together. 19 20 21 Q. He or she or they would have Would the element of criminal activity play into it at all? A. I would think so. I think it's -- in a 22 sense one takes, yeah, criminal activity, whether 23 it's depiction of organized crime or crime that 24 is sort of hidden in a way within the confines of 25 the establishment institutional organizations. Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 22 of 41 PageID #: 467 21 1 SCORSESE 2 "Institutional" may be the wrong word, but 3 establishment; and in a sense particularly I 4 think Wolf takes on kind of a metaphor for the 5 nature of the weakness, you know, of human 6 nature, weakness, and I don't know if you would 7 say criminal activity, but certainly emphasizing 8 situations and people and places in a way of 9 thinking that could not bring out necessarily the 10 11 12 13 14 15 best in people. Q. So fair to say environmental versus inherent self? A. I don't know. I don't know. I think it's all combined. Q. Did you have a view as to the import in 16 portraying the technicality of the financial 17 industry with accuracy in the film? 18 A. I think I have more of an interest in 19 portraying the mind-set and the attitude of the 20 financial world and its negative aspect. 21 Q. There was a great deal of talk at the 22 time about portrayal of the film through the eyes 23 of Jordan Belfort, particularly with use of the 24 voiceover. 25 Was there a conscious effort to follow Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 23 of 41 PageID #: 468 22 1 SCORSESE 2 through closely with the book or was there a 3 different -- a different angle from your 4 perspective? 5 A. I think we have to go back to the book, 6 and I think one has to think in terms of like the 7 voiceover from Goodfellas for example, or even 8 the voiceover from the extraordinary British film 9 made in the late '40s called Kind Hearts and 10 Coronets, which has a very restrained humor to 11 it, and the main character is doing not very nice 12 things, but his voiceover presents it in another 13 light in his point of view; and so it's somewhat 14 -- it has the irony of contradiction and how one 15 can compartmentalize in one's life, I think. 16 But Goodfellas came out of that idea, 17 but primarily it's a story teller, and the story 18 teller -- Jordan Belfort is a very good story 19 teller. 20 not, I don't know. 21 Now, whether those stories were true or But maybe what we were going for was, I 22 think, again, the spirit of it, the mind-set that 23 I think anyone might be -- how should I put it -- 24 subject to, under certain circumstances -- given 25 a new circumstance, certain circumstances most Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 24 of 41 PageID #: 469 23 1 SCORSESE 2 people could behave in a similar way. It's just, 3 to me, it's about the -- it's about his 4 presentation on those pages in that book, and 5 it's almost like a standup routine in a way. 6 so we followed the spirit of that, I think. 7 That's the key, and that I felt would have the 8 flow of the film; that it would keep it moving 9 and also be -- what's the word? certainly as -- I And 10 don't know if I could believe all of it, but the 11 point is that maybe he sees it that way, and 12 maybe he believes it. 13 and not necessarily truthful, but it's memory. 14 Maybe we believe the past And so we were going for something much 15 more; that it was about the very spirit of it and 16 that the spirit of behaving that badly with 17 people's trust. 18 Q. So to those ends, was there any effort 19 to cross-reference or check what was true and 20 what was fiction in the book? 21 A. I think it all became, in a sense that 22 we were -- from what I understood, by the time it 23 reached me, I am not sure about any checking, but 24 as I said, the lot of this I -- well, this was 25 you were talking about names and that sort of Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 25 of 41 PageID #: 470 24 1 SCORSESE 2 thing; but I think ultimately for us, the 3 fictionalization is really what mattered. 4 what mattered. 5 length, two or three-hour length, that would rip 6 the audience up into a kind of almost thinking 7 like the characters, so that it really reexamines 8 our way of who we are in a way and in terms of 9 financial institutions of this country or any -- 10 Really To work it in such a way at a any country, really. 11 But in any event, I have to emphasize it 12 is the fictionalization that then took us, and we 13 went along, as long as it fit with the energy of 14 it, it wasn't a matter of who did what where. 15 was a matter of that incident, that moment, that 16 thinking of Jordan Belfort, you see. 17 18 Q. It So if I made a conscious attempt from your perspective to make almost a frenzied pace? 19 A. I believe so, yes. Yes. I think -- 20 yes. 21 Casino has that, but again, these are lives that 22 have grown out of control. 23 I would think, but back again, Goodfellas, Q. Now, in the decision to develop it this 24 way, what roles, if any, did Mr. Winter or Mr. 25 DiCaprio have? Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 26 of 41 PageID #: 471 25 1 SCORSESE 2 MR. COX: Could you be a little more 3 clear what do you mean by "this way"? 4 Q. In the fictionalization, the 5 dramatization and the overall -- the overall tone 6 of the film that you took? 7 A. I think we were all in the same -- on 8 the same road, on the same mind, of the same 9 mind. 10 Q. Now, you have mentioned meetings 11 earlier. Were those meetings a collaborative 12 effort or did someone sort of take the helm? 13 A. That's difficult to answer. 14 Q. Do the best you can. 15 A. Terry is the writer, but it was 16 collaborative. But Terry is a writer. In other 17 words, we -- it goes ultimately through him, 18 comes back to us, and we talk about it again. 19 Q. But when you say "us"? 20 A. Me and Leo. 21 Q. What role other than actor, if any, did 22 Mr. DiCaprio have? 23 A. I don't -- basically I believe that's 24 it. That was it. I don't know. 25 producer's credit on that? Does he have a I have no idea. You Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 27 of 41 PageID #: 472 26 1 SCORSESE 2 could check. 3 Q. 4 anyway. 5 A. I can check. 6 No. But it's of no moment I don't think so. No, this is not very different from what 7 I did with Leo DiCaprio in every film I have 8 worked with him. 9 Kenny Lonergan and Steve Zaillian on Gangs of New John Logan on The Aviator, 10 York; Shutter Island, Leata on that one. 11 Departed, Monahan. 12 This is -- and the way I work with other 13 actors on Departed let's say, with the writer, 14 always with the writer, in these actions, you 15 know. 16 Q. Did you during those meetings feel as 17 though you had the final creative say as the 18 director? 19 A. I believe so. 20 Q. Were you aware of anyone else's attempts 21 to do any fact-checking in the process for Wolf 22 of Wall Street? 23 MR. COX: 24 generally aware? 25 Specifically aware or MR. GOLDSMITH: Specifically aware. Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 28 of 41 PageID #: 473 27 1 SCORSESE 2 THE WITNESS: Generally I would say. 3 Q. Just generally, not specifically? 4 A. Yes. 5 Q. Okay. 6 A. Fact-checking, I must say on something 7 like an IPO or -- what are these things? 8 don't quite understand what they are, but these 9 business things, I don't understand why the 10 person got up to speak at the IPO. 11 got that. 12 Q. Got you. 13 A. The Steve Madden thing. I still I never quite I never -- oh, 14 and I don't have that kind of mind, but those 15 things were specifically worked out -- 16 Q. Right. 17 A. -- for me. 18 Q. Okay. 19 Yes. Do you know who did? Who would have worked that out? 20 A. Sorry. 21 Q. Are you familiar with the character 22 I don't. named Rugrat? 23 A. The character, yes. 24 Q. And do you recall any previous names 25 that that character may have had in the script Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 29 of 41 PageID #: 474 28 1 2 3 4 SCORSESE revisions? A. No. Except there were nicknames in the book. 5 MR. GOLDSMITH: Okay. I am going to 6 show you what has previously been marked as 7 Plaintiff's 2 at an earlier proceeding. 8 9 (Plaintiff's Exhibit 2 marked for reference.) 10 Q. Take a look. 11 A. Uh-huh. 12 13 14 these people. Q. Patrick Denham. I don't know Mark Hanna, well -- First of all, let me do the legalese thing. 15 A. Yes. 16 Q. Does the document look at all familiar 17 to you? 18 A. No. 19 Q. All right. 20 21 22 23 Do you think you perhaps have seen it before? A. I may have seen sections thereof. I may have. Q. Okay. All right. If you look at on the 24 left side or, I am sorry, if you look on the 25 right side, is there an entry for the name Rugrat Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 30 of 41 PageID #: 475 29 1 2 SCORSESE or -- 3 A. Yes. 4 Q. And on the left side is there a 5 Yes. Nicky Koskoff. corresponding name? 6 A. Andy Cohen, Wigwam. 7 Q. Does that refresh your recollection at 8 9 10 all about an earlier name? A. Penguin. In the book, yes. In the book. In the book. And Those were in the book. 11 Q. Thank you. 12 A. Uh-huh. 13 Q. What was the relationship, if you know, 14 between Sikelia Productions and Red Granite 15 Productions on this particular film? 16 A. I believe the financing was from Red 17 Granite, and at this stage of the work I do -- I 18 don't believe I had a day-to-day working with 19 Joey McFarland, Riza. 20 hello, but primarily I worked with Emma Koskoff, 21 and she worked with them, and they were all there 22 all the time, basically. 23 I did see them on set, say How could I put it? And any questions 24 that had to do with overages or -- well, 25 ultimately, we made it on schedule, but overages Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 31 of 41 PageID #: 476 30 1 SCORSESE 2 in the post production, release of the film, 3 discussions, that all happened away from me. 4 was -- I was focused mainly and only, I should 5 say, on finishing that picture. 6 7 8 9 Q. Fair to say you were mostly creative, if not entirely creative? A. Absolutely. Absolutely. I edited the film, yes, in my house, actually, to try to 10 finish it faster, day and night. 11 MR. GOLDSMITH: 12 (Discussion off the record.) 13 I Q. Off the record. Are you familiar with any relationship 14 between Sikelia and Paramount Pictures as relates 15 to the film? 16 A. Paramount, forgive me, I don't have this 17 terminology correct, but I believe -- I don't 18 know if they were involved in the very beginning, 19 but at some point they said they would distribute 20 the film. 21 22 Q. Yes. Does Sikelia have any offices located in California? 23 A. No. 24 Q. Have they ever? 25 A. No. Not that I know of. Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 32 of 41 PageID #: 477 31 1 SCORSESE 2 Q. Do they have any offices in Delaware? 3 A. No. Not that I know of. 4 MR. GOLDSMITH: 5 that's it from me. 6 MR. COX: 7 THE WITNESS: 8 MR. COX: 9 All right. I think Well, thank you, Aaron. Thank you. Let's agree to the usual stipulations? 10 MR. GOLDSMITH: 11 MR. COX: Usual stipulations. And original of the transcript 12 will be sent to the witness at this office 13 and -- 14 MR. GOLDSMITH: Mr. Scorsese, when the 15 transcript is sent here, you will have the 16 opportunity to review it for accuracy. 17 There are instructions. 18 in the back that you can fill in if there is 19 anything that's not accurate. 20 THE WITNESS: 21 MR. GOLDSMITH: 22 Okay. You will see a page All right. When it's done, you will send it back to Rachel? 23 MR. BRESCIA: Rachel Strom. 24 THE WITNESS: All right. 25 (Time noted: Thank you. 2:09 p.m.) Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 33 of 41 PageID #: 478 32 1 A C K N O W L E D G M E N T 2 3 STATE OF ) 4 5 :ss COUNTY OF ) 6 7 I, MARTIN SCORSESE, hereby certify that 8 I have read the transcript of my testimony taken 9 under oath in my deposition of May 27, 2016; that 10 the transcript is a true, complete and correct 11 record of my testimony, and that the answers on 12 the record as given by me are true and correct. 13 14 15 ___________________________ 16 MARTIN SCORSESE 17 18 19 Signed and Subscribed to 20 before me, this 21 of 22 ________________________________ 23 Notary Public, State of New York 24 25 day , 2016. Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 34 of 41 PageID #: 479 33 1 C E R T I F I C A T E 2 3 STATE OF NEW YORK 4 5 ) )ss.: COUNTY OF NEW YORK ) 6 7 I, DARBY GINSBERG, a Notary Public 8 within and for the State of New York, do hereby 9 certify: 10 That MARTIN SCORSESE, the witness whose 11 deposition is herein before set forth, was duly 12 sworn by me and that such deposition is a true 13 record of the testimony given by such witness. 14 I further certify that I am not related 15 to any of the parties to this action by blood or 16 marriage; and that I am in no way interested in 17 the outcome of this matter. 18 19 IN WITNESS WHEREOF, I have hereunto set my hand this 10th day of June, 2016. 20 21 22 __________________ 23 DARBY GINSBERG 24 Commission Number: 01GI6230654 25 Expires: 11-1-2018 Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 35 of 41 PageID #: 480 34 1 ***ERRATA*** 2 ELLEN GRAUER COURT REPORTING CO. LLC 126 East 56th Street, Fifth Floor New York, New York 10022 212-750-6434 3 4 5 6 NAME OF CASE: Greene vs. Paramount, et al. DATE OF DEPOSITION: May 27, 2016 NAME OF WITNESS: MARTIN SCORSESE 7 PAGE LINE FROM TO REASON 8 ____ ___ _________ _________ _________________ 9 ____ ___ _________ _________ _________________ 10 ____ ___ _________ _________ _________________ 11 ____ ___ _________ _________ _________________ 12 ____ ___ _________ _________ _________________ 13 ____ ___ _________ _________ _________________ 14 ____ ___ _________ _________ _________________ 15 ____ ___ _________ _________ _________________ 16 ____ ___ _________ _________ _________________ 17 ____ ___ _________ _________ _________________ 18 ____ ___ _________ _________ _________________ 19 ____ ___ _________ _________ _________________ 20 ____ ___ _________ _________ _________________ 21 ___________________________ 22 Subscribed and sworn before me 23 this_____day of __________, 20__. 24 ____________________ ______________________ 25 (Notary Public) My Commission Expires: Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 36 of 41 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✻ ✿ ❄ ✻ ✿ ❄ ✻ ✯ ✥ ✮ ✥ ✰ ❄ ✿ ✱ ✫ ✲ ❄ ✮ ✿ ❄ ✮ ✺ ❄ ✮ ✺ ❍ ✺ ✼ ✱ ❋ ✴ ✸ ✵ ✶ ✷ ❂ ✴ ✳ ❃ ✵ ✲ ✷ ✼ ✼ ✿ ✰ ❍ ✴ ✱ ✸ ✧ ✲ ✸ ✒ ❙ ✓ ✵ ✷ ✗ ✴ ✤ ❅ ✶ ✎ ✣ ✸ ✳ ✱ ✴ ✸ ❋ ❅ ✶ ✲ ✸ ✷ ✸ ✴ ✾ ✷ ❈ ✴ ✥ ✸ ✮ ❅ ✿ ✸ ❍ ✱ ❉ ✲ ❆ ✴ ❏ ✸ ✵ ✿ ❃ ✱ ✾ ✧ ✷ ✶ ✾ ❈ ✴ ✾ ❈ ✲ ✼ ✼ ✺ ✼ ❁ ❍ ✳ ✶ ✸ ✽ ✴ ✸ ✸ ✸ ✷ ✯ ✴ ✿ ✸ ✱ ✫ ✹ ✲ ✮ ✺ ✰ ■ ✾ ❅ ✱ ✸ ✴ ✫ ✲ ✸ ❅ ✷ ✴ ❀ ✾ ✿ ❂ ✻ ❃ ✦ ✾ ✱ ✸ ✫ ✶ ✸ ❆ ✴ ❆ ❃ ❈ ✾ ✲ ❂ ✴ ❏ ✾ ✺ ✷ ❃ ✰ ✾ ✥ ✷ ✻ ✱ ❋ ✲ ❈ ✼ ✼ ✯ ✮ ✰ ✿ ✦ ❀ ✱ ✫ ✲ ✮ ❙ ✺ ✼ ✺ ❀ ❑ ✱ ✫ ✲ ✾ ✾ ✴ ✾ ✾ ❂ ✴ ✸ ❅ ❃ ✾ ✾ ✶ ✾ ✸ ✴ ✵ ✲ ✶ ✶ ✺ ❍ ❅ ❆ ✽ ❂ ✴ ✴ ✸ ❅ ✴ ✰ ✱ ✾ ❈ ✾ ✴ ✽ ✯ ✤ ❑ ✿ ✰ ✱ ✫ ✲ ❄ ✮ ✯ ❀ ❀ ❬ ✮ ✿ ● ✿ ✮ ✿ ✰ ❄ ✿ ✱ ✫ ✲ ✶ ✥ ❁ ✥ ❁ ✥ ❇ ❍ ✺ ✿ ✰ ❄ ✿ ✱ ✫ ✲ ❁ ❙ ✻ ✻ ✱ ✫ ✲ ✾ ❅ ✴ ✳ ✾ ✷ ✴ ✸ ❅ ❅ ✫ ❆ ✴ ✸ ✳ ❅ ✴ ✵ ❄ ✯ ✻ ✻ ✥ ✹ ✯ ✮ ✥ ✼ ✺ ❇ ✿ ✱ ✧ ✲ ❄ ❁ ✮ ✮ ✿ ✰ ✼ ✱ ✫ ✲ ✲ ✼ ❑ ✯ ✮ ✱ ✫ ✹ ✲ ❁ ❀ ✺ ✰ ✿ ❀ ❀ ✱ ✫ ✲ ✾ ❈ ✴ ✸ ✸ ❃ ✸ ✳ ✵ ✴ ✾ ❈ ❅ ✺ ✸ ✺ ❃ ❄ ✯ ✸ ✥ ✴ ✿ ✲ ✸ ✻ ✸ ❅ ● ❈ ✮ ✲ ❋ ✶ ✻ ✸ € ✰ ❂ ✾ ✥ ✼ ✱ ✾ ❈ ✿ ✷ ✴ ✲ ✸ ✻ ✸ ❁ ❅ ✴ ✾ ❁ ❖ ✎ ✥ ✥ ✯ ✴ ✾ ❅ ✫ ✵ ✥ ✥ ✱ ✲ ✵ ❀ ✳ ✾ ✾ ✰ ✴ ✯ ✵ ✸ ■ ✲ ✸ ✥ ✯ ✸ ✰ ✸ ❀ ✽ ✼ ❂ ✺ ✲ ✾ ✮ ✸ ❄ ❖ ✥ ✮ ✾ ✥ ✾ ■ ❅ ✥ ✼ ✴ ✰ ✲ ❈ ✱ ✸ ✮ ✾ ❄ ✲ ❈ ❂ ✾ ✥ ✵ ✲ ✥ ✥ ✫ ❈ ❖ ✸ ✾ ✲ ❆ ✥ ✥ ✱ ✺ ✵ ✸ ❉ ✳ ✥ ✥ ✱ ❅ ✰ ✳ ✷ ✸ ✺ ✴ ✾ ✾ ✸ ✼ ✲ ✥ ❄ ✴ ✸ ❖ ✵ ✥ ✳ ✮ ✲ ✎ ❄ ✸ ✯ ✲ ✸ ✥ ✴ ● ✽ ✥ ✥ ✳ ❄ ✴ ✷ ❂ ✻ ✽ ✯ ✷ ✷ ✿ ❙ ✲ ✎ ✹ ✴ ✿ ✾ ✳ ✎ ✲ ✾ ✥ ✥ ✫ ✲ ✾ ✸ ✱ ✳ ✥ ✥ ✾ ✽ ❍ ✲ ✱ ✴ ✫ ✾ ✴ ✾ ✾ ✷ ✵ ✴ ❅ ❄ ✯ ✻ ✻ ✿ ■ ✿ ✱ ❚ ✲ ❄ ❁ ✼ ✱ ✧ ✲ ✲ ✥ ✺ ✻ ✥ ✹ ✺ ✻ ✺ ✼ ✦ ✱ ✫ ✵ ✲ ✴ ❅ ❃ ✸ ❂ ❃ ✸ ✳ ❃ ✾ ❂ ❃ ✾ ❆ ✸ ✽ ✴ ✾ ❂ ❃ ✾ ✷ ✾ ❱ ✸ ✥ ● ✼ ✿ ✮ ✰ ✯ ✯ ✰ ✱ ✫ ✳ ✴ ✸ ✸ ❄ ✯ ❏ ❄ ✯ ❏ ❄ ✯ ❏ ✹ ✺ ✰ ✿ ❍ ✱ ✫ ✲ ✲ ❭ ✎ ✳ ✴ ✸ ❇ ✺ ✥ ✼ ✯ ✮ ✱ ✫ ✾ ✲ ✾ ✳ ✴ ✽ ✥ ✤ ✎ ■ ✥ ✺ ✰ ✱ ★ ✻ ✺ ▲ ✥ ✮ ✿ ✱ ✬ ✴ ✾ ✾ ✶ ✾ ❂ ✴ ❆ ❃ ✾ ✾ ✶ ✾ ❆ ✴ ✾ ❂ ✸ ❆ ✾ ✴ ✾ ❈ ✴ ❃ ✾ ✸ ✽ ✴ ✸ ✸ ❃ ✿ ✱ ❆ ✫ ❂ ✴ ✷ ✶ ✾ ✳ ✴ ✾ ❂ ❃ ✾ ✷ ❃ ❄ ✥ ❃ ✾ ■ ✿ ✰ ✴ ✻ ❈ ❋ ✴ ✸ ❖ ❆ ✥ ✰ ✺ ✿ ❀ ✱ ✧ ✲ ✲ ✻ ✽ ✶ ✿ ✸ ✽ ❍ ✱ ✴ ❋ ❈ ✶ ✷ ❂ ✴ ✾ ❆ ✴ ❅ ❃ ✸ ✾ ✾ ❍ ✲ ❖ ✥ ✰ ✦ ✱ ✫ ✥ ✺ ✻ ✦ ✱ ✧ ✲ ✲ ✸ ✳ ✴ ❅ ❃ ✸ ✳ ✴ ✾ ✾ ❅ ✴ ✸ ✶ ✸ ❅ ✴ ✷ ✶ ✾ ✾ ✴ ✸ ❅ ❈ ✴ ✸ ✾ ❆ ❍ ✥ ✼ ✿ ❍ ✥ ✼ ✿ ❍ ✥ ❍ ✥ ✦ ❍ ✥ ✦ ✱ ✧ ✲ ▲ ✥ ✦ ✱ ❂ ✴ ✫ ❄ ✲ ✥ ❏ ✿ ✱ ✫ ✯ ❏ ❖ ✥ ✮ ✼ ❏ ✿ ✰ ✼ ✥ ✻ ✺ ❲ ✿ ✱ ✫ ✲ ✲ ❅ ✷ ✾ ✴ ✸ ✾ ✴ ✸ ✴ ✸ ✳ ✶ ✸ ✵ ✴ ✾ ❈ ❂ ✴ ✾ ❃ ✶ ✷ ✾ ✶ ✾ ❈ ✳ ❀ ✱ ❋ ✲ ✾ ❄ ✥ ✱ ✲ ✷ ✾ ✥ ✸ ✸ ❄ ■ ✺ ✽ ✥ ✎ ✰ ✶ ✾ ✸ ✮ ✶ ✸ ✾ ✯ ✲ ✷ ✸ ● ✲ ✥ ✸ ✸ ✳ ✼ ✱ ✫ ✥ ✰ ✱ ❚ ❄ ✲ ✯ ❏ ❖ ✻ ✿ ✼ ✿ ✱ ✫ ✲ ❅ ✴ ✸ ✾ ✶ ✸ ✽ ✲ ◗ ✸ ✽ ✴ ✸ ✸ ❆ ✶ ✾ ✶ ✷ ✾ ✴ ✸ ❈ ✴ ✸ ✽ ✶ ✾ ❈ ✴ ✸ ❆ ✷ ✶ ❄ ■ ✯ ✱ ✧ ✳ ✴ ✷ ✸ ✯ ❏ ❖ ✽ ✶ ✸ ✾ ✴ ✸ ■ ✮ ✿ ✥ ❄ ❘ ✿ ✱ ✫ ✷ ✸ ✕ ✴ ✓ ✓ ✑ ✱ ❋ ✱ ✬ ✲ ✥ ✤ ❖ ❖ ✥ ✱ ✧ ❅ ✴ ❈ ✴ ❆ ✶ ✸ ✾ ✾ ✽ ✶ ✴ ❈ ✷ ✶ ✸ ✴ ✾ ❆ ✸ ✽ ✴ ❃ ✾ ✾ ❂ ✶ ✸ ✾ ❄ ✥ ✵ ❀ ✴ ✿ ✾ ❂ ✱ ❃ ✫ ✾ ❄ ❂ ✯ ✰ ✷ ❏ ✹ ✥ ✹ ✥ ❍ ✻ ❃ ✽ ❃ ✸ ✯ ❅ ❀ ✼ ✱ ❉ ✴ ✯ ✽ ✰ ✶ ✾ ■ ✦ ✱ ✷ ❀ ✴ ✿ ✫ ✸ ✲ ✳ ✳ ✷ ✱ ✴ ✫ ❍ ✴ ✥ ✤ ✱ ❈ ✶ ✾ ❆ ✴ ✳ ❃ ✸ ❈ ✻ ✼ ✴ ❑ ✸ ✯ ✥ ✻ ▲ ✸ ■ ❈ ✥ ✥ ❀ ✴ ✺ ✸ ❄ ✫ ❀ ✲ ❄ ❅ ✺ ✾ ❆ ✥ ❈ ❑ ✱ ✧ ✹ ✿ ❄ ✴ ✹ ✿ ■ ✹ ✿ ■ ✹ ✿ ✥ ✶ ✦ ✸ ❀ ✵ ✱ ✴ ✥ ❏ ❂ ✴ ✯ ❆ ✰ ✥ ✚ ❏ ✴ ❆ ✯ ✶ ✧ ✺ ✰ ❬ ✜ ✴ ✸ ❀ ❂ ✱ ✫ ✴ ✾ ❂ ✲ ✰ ✿ ✴ ❀ ✾ ✱ ✫ ✲ ❂ ✴ ✸ ✸ ❆ ❬ ✼ ✯ ❬ ✯ ✰ ● ❁ ❀ ✺ ✰ ■ ✱ ✫ ❍ ✥ ✦ ✱ ✧ ✲ ✲ ✸ ✳ ✴ ✸ ❂ ❅ ✴ ✸ ✽ ✰ ✯ ❆ ✴ ✱ ✾ ✫ ✷ ✴ ✸ ✽ ✲ ❍ ✯ ✰ ❀ ❄ ✺ ✯ ❁ ❀ ✱ ✧ ✿ ✥ ✻ ✱ ❋ ✲ ✲ ✸ ✾ ❂ ✴ ✷ ❃ ❄ ✥ ❄ ✿ ✼ ✿ ■ ✯ ✮ ✦ ✱ ✫ ✾ ✲ ✸ ✴ ✾ ❈ ✶ ✾ ❆ ✴ ✸ ✸ ✵ ✶ ✾ ✸ ✴ ✾ ✸ ✵ ❍ ✿ ✥ ❍ ✿ ✥ ✻ ✺ ✻ ✼ ✰ ■ ✱ ✫ ✲ ✻ ✾ ✻ ✦ ✱ ✷ ✶ ✾ ✧ ✲ ❅ ✴ ✸ ✾ ✾ ✮ ❅ ✼ ✴ ✾ ✥ ❆ ✺ ✛ ✤ ✰ ✱ ✧ ✏ ✢ ✴ ✏ ✣ ✜ ✓ ✑ ✱ ✫ ✲ ✸ ✳ ✴ ❅ ✴ ✾ ✸ ✲ ✳ ✱ ✾ ✴ ✧ ✴ ✼ ❬ ✗ ✱ ✧ ✲ ✾ ✾ ✴ ✾ ❆ ❃ ✾ ❈ ✾ ❃ ✯ ✰ ✼ ✮ ✥ ❍ ✺ ❄ ✼ ✺ ✯ ✰ ✱ ✫ ✱ ✫ ✲ ✲ ✸ ❈ ✸ ❅ ✴ ✥ ✸ ✾ ✰ ✶ ✱ ✾ ✷ ✫ ✴ ✾ ✸ ❄ ✿ ✮ ✼ ✲ ✥ ✸ ✺ ❅ ✰ ✴ ✵ ✻ ✴ ❅ ❃ ✦ ✱ ✾ ❚ ✾ ✲ ✾ ✾ ✴ ✸ ❆ ❍ ✾ ✶ ✾ ✸ ✴ ✵ ❄ ✶ ✯ ✰ ✼ ✮ ✯ ✻ ✱ ✫ ✿ ❄ ✺ ❀ ✺ ✯ ✰ ✱ ✫ ✲ ✲ ✾ ❆ ✴ ✾ ✷ ✸ ✷ ✴ ✾ ❈ ✾ ✷ ❆ ✴ ✾ ✾ ❍ ✿ ❄ ✺ ❀ ✺ ✯ ✰ ❬ ❏ ✥ ❘ ✺ ✰ ■ ✱ ✫ ✲ ❆ ✺ ✰ ✰ ✺ ✰ ■ ✱ ✫ ✲ ❄ ✿ ✮ ❄ ✿ ✮ ✼ ✺ ● ✺ ● ✦ ❄ ✥ ✼ ✺ ✯ ✰ ✱ ✫ ✯ ✤ ✲ ✮ ✯ ✰ ✿ ✼ ❀ ✱ ✫ ✲ ✸ ✷ ✴ ✵ ❂ ✴ ✸ ✽ ❈ ✴ ✾ ❈ ✾ ✴ ✸ ❂ ❍ ✿ ❄ ✺ ❀ ✺ ✯ ✰ ❀ ✱ ✧ ✲ ✳ ✱ ❄ ✿ ✲ ❂ ✰ ❏ ✲ ✾ ■ ✶ ❁ ❂ ✵ ✷ ❈ ✲ ✲ ✸ ✸ ✸ ✫ ✷ ❁ ✴ ✱ ✽ ✸ ✳ ❀ ✸ ❄ ✥ ✺ ❂ ✷ ❆ ✮ ✲ ✾ ✾ ✿ ❂ ✲ ✹ ✻ ✼ ✾ ✸ ✸ ✥ ✴ ● ✾ ✲ ✸ ✻ ❁ ✾ ✲ ❄ ✥ ✲ ✲ ✾ ✴ ✧ ✽ ✒ ❈ ✱ ✲ ✾ ✎ ✦ ✾ ✸ ✥ ❂ ✷ ✸ ✴ ✸ ✲ ✹ ❅ ✴ ✾ ✾ ✥ ✾ ✫ ✮ ❑ ✥ ❇ ✿ ✱ ✫ ✲ ✼ ✺ ✱ ✫ ❄ ✲ ✯ ✮ ❖ ✯ ✮ ✥ ✼ ✺ ✯ ✰ ✱ ❉ ✲ ✸ ✸ ✴ ✸ ❅ ❃ ✾ ✸ ✲ ✺ ❖ ✼ ❪ ✓ ✻ ✻ ✿ ✰ ✕ ✮ ✥ ❁ ✿ ✮ ✤ ✯ ❁ ✮ ✼ ✒ ✿ ❖ ✯ ✮ ✼ ✺ ✰ ■ ✤ ✯ ✘ ❯ ❯ ✤ ✱ ✫ ✲ ✎ ✥ ✮ ✯ ✰ ❬ ❍ ✿ ❄ ✺ ❀ ✺ ✯ ✰ ❀ Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 37 of 41 PageID #: 482 ✚ ✎ ✏ ✑ ✒ ✓ ✔ ✕ ✒ ✓ ✓ ✏ ✓ ✖ ✗ ✎ ✒ ✢ ✏ ✣ ✗ ✒ ✑ ✎ ✿ ● ✿ ✷ ✑ ✚ ✰ ✴ ✿ ✻ ❍ ✜ ✥ ✰ ✏ ✼ ✢ ❀ ✱ ✙ ✫ ✣ ✢ ✤ ✜ ✒ ✓ ✗ ✳ ❍ ▲ ✵ ✥ ✴ ❅ ✴ ✾ ✮ ❃ ✿ ✸ ✱ ✾ ❚ ❃ ✴ ❁ ✶ ✸ ✽ ✴ ✳ ✛ ✙ ✒ ✎ ✢ ✛ ✣ ✰ ■ ✸ ✴ ✱ ✸ ❋ ✵ € ✥ ❏ ✲ ✶ ❖ ✸ ✸ ✷ ✴ ✸ ❈ ✶ ✾ ✳ ✴ ✸ ✥ ✒ ✦ ✧ ✗ ★ ✓ ✩ ✗ ✧ ✪ ✓ ✫ ✬ ✏ ✿ ✺ ✸ ✳ ✒ ✾ ✮ ✲ ✸ ✛ ✤ ✲ ❈ ✥ ✸ ✛ ✛ ✤ ✘ ✚ ✎ ✙ ✿ ✳ € ❅ ❄ ✴ ✿ ✶ ✻ ✽ ❖ ❈ ✴ ✿ ✶ ✼ ❅ ✱ ✾ ✱ ✶ ✲ ✴ ✧ ✾ ✧ ✾ ✸ ✵ ● ✺ ✰ ● ✺ ✰ ● ✺ ✰ ● ✺ ✰ ● ✺ ✰ ✲ ✽ ✴ ✸ ✥ ✸ ✷ ✴ ❅ ✻ ✽ ❈ ✴ ✸ ✸ ❃ ✸ ❈ ✶ ✾ ❂ ✴ ✳ ✸ ✲ ✾ ✰ ✸ ❋ ✴ ✥ ✶ ✱ ❂ ❄ ❃ ✺ ✾ ✥ ✷ ✻ ✶ ✱ ✾ ❋ ✳ ✴ ✸ ✕ ✵ ❅ ✴ ✵ ✶ ✾ ❆ ✴ ✾ ❂ ✷ ✴ ✛ ✛ ✲ ✾ ✑ ❂ ✴ ✚ ✽ ✶ ✎ ✾ ✾ ✴ ✏ ✱ ✵ ✫ ❃ ✸ ✳ ✶ ✲ ❆ ❫ ✷ ✑ ✿ ✑ ✿ ✸ ✰ ❑ ✾ ✓ ✥ ✽ ❏ ✴ ✱ ✸ ✫ ✥ ✸ ✮ ✿ ✼ ✿ ❍ ✱ ✬ ✥ ✮ ✻ ✺ ✴ ✾ ✳ ✵ ✶ ✸ ✾ ✸ ✴ ✸ ✸ ❃ ✷ ✸ ✶ ✾ ❂ ✴ ✾ ❃ ✽ ❈ ✿ ❖ ✥ ✮ ✼ ✮ ✴ ✱ ✸ ❋ ✸ € ✾ ✽ ✴ ✵ ✶ ✾ ❅ ✴ ✼ ✿ ✺ ✼ ✿ ❍ ✮ ❏ ✥ ✱ ✿ ✰ ✼ ✱ ✫ ✴ ✼ ✯ ✫ ✾ ✱ ✮ ✴ ✫ ✲ ✾ ❍ ✺ ✰ ✥ ✮ ✦ ✱ ✫ ✸ ✥ ✲ ✾ ✽ ✺ ❀ ✺ ✼ ✳ ❃ ✺ ✴ ✾ ✰ ✸ ❂ ✶ ■ ✾ ✱ ❆ ✫ ✴ ❅ ■ ✮ ✥ ❍ ✵ ✲ ✳ ■ ✮ ✥ ❁ ✴ ✸ ✴ ✸ ✥ ✼ ✿ ✥ ✼ ✿ ✱ ✫ ✲ ❆ ✺ ❀ ❑ ✱ ✫ ❍ ✵ ✲ ❁ ❍ ✱ ✫ ✲ ❅ ✦ ✿ ❀ ✱ ✸ ✫ ✴ ✲ ✾ ✷ ✾ ❂ ✴ ✸ ❑ ✕ ❂ ✿ ❍ ✱ ✧ ✮ ✥ ✲ ✰ ✸ ❆ ✺ ✼ ✸ ✵ ✴ ✸ ✿ ✱ ✴ ✸ ✸ ❉ ✶ ✲ ✸ ✳ ✴ ✸ ❆ ✶ ✾ ❅ ✴ ✸ ❆ ❃ ✽ ✸ ❍ ✸ ❄ ❅ ✲ ✓ ✴ ✰ ✲ ✾ ❂ ✺ ✽ ✽ ✶ ❍ ✹ ✴ ✲ ✶ ✷ ✷ ❍ ✺ ✽ ✾ ✿ ✴ ✿ ✲ ✾ ❅ ❑ ✾ ✿ ❖ € ✲ ❑ ✱ ✫ ❂ ✴ ✸ ✾ ✶ ✸ ✷ ✴ ✾ ❈ ✲ ❵ ✸ ❆ ✴ ✳ ● ✾ ❍ ✿ ❖ ✿ ✰ ❍ ❀ ✱ ✧ ✸ ✴ ✸ ✾ ✶ ✾ ❂ ✴ ✸ ❍ ❁ ❄ ✿ ❖ ✺ ❄ ✼ ✺ ✯ ✰ ✱ ✫ ❂ ✴ ✾ ✴ ✿ ❖ ✯ ❈ ❀ ✴ ✺ ✳ ✸ ✿ ❀ ✼ ❃ ❄ ✮ ✸ ● ✿ ✿ ✺ ✸ ✺ ❂ ✼ ✴ ✿ ✯ ✰ ✾ ✶ ✹ ✱ ✷ ✿ ✾ ✮ ✸ ❋ ✿ ✴ ✿ ✾ ✴ ✿ ● ✱ ✫ ❅ ● ✺ ✰ ✿ ❖ ✱ ❈ ✻ ✶ ✯ ✾ ✸ ✿ ✻ ✿ ❂ ✥ ✴ ✻ ✧ ✳ ■ ✴ ✾ ✿ ✻ ❀ ✸ ✑ ✺ ✴ ✾ ✥ ✤ ✫ ✾ ✴ ❈ ● ✥ ✺ ✼ ❬ ✾ ❋ ❄ ❑ ✳ ✴ ✮ ✿ ✾ ✱ ✸ ✲ ✴ ✾ ❈ ✶ ✰ ✾ ✷ ✼ ✱ ✴ ✫ ✸ ✽ ✶ ✾ ❈ ✴ ✸ ✾ ❄ ✸ ❉ ✸ ✷ ✲ ❂ ✴ ✿ ❊ ✸ ● ✥ ✻ ❂ ● ✥ ❏ ✻ ✱ ✸ ❅ ❀ ✱ ✫ ✲ ✳ ❏ ✶ ✮ ✼ ✶ ✱ ✸ ✧ ✸ ✺ ✴ ✷ ✴ ❃ ❘ ✺ ✰ ■ ✱ ✧ ❋ ✸ ✶ ✾ ✵ ✴ ✸ ✾ ● ✺ ✮ ● ✺ ✼ ✾ ✴ ✾ ✴ ✳ ❈ ✶ ✸ ✳ ✴ ✾ ✾ ✶ ✾ ✸ ✴ ✸ ✸ ❂ ✸ ✱ ❉ ✲ ✾ ❈ ✴ ✾ ❂ ❅ ✴ ✾ ❂ ❃ ✾ ❈ ✶ ✸ ✳ ✴ ✾ ● ✶ ✥ ❖ ❑ ✴ ✳ ✻ ❃ ✺ ✿ ❏ ✴ ❖ ❆ ✳ ✴ ✴ ✾ ❈ ✿ ✰ ❄ ❀ ✸ ✿ ✰ ❍ ❑ ✺ ❲ ✿ ✱ ✫ ● ✲ ✥ ✺ ❇ ✱ ✸ ✷ ✶ ✴ ✸ ✳ ✶ ❈ ✶ ✼ ✧ ❚ ✸ ❀ ✺ ❲ ✺ ✰ ■ ✱ ✫ ✲ ✴ ✱ ✴ ✸ ✷ ✸ ✫ ✸ ❩ ■ ✮ ✿ ✥ ✼ ✱ ✮ ✥ ■ ✿ ✱ ✫ ✲ ● ✿ ✥ ● ✿ ✥ ✴ ✸ ✼ ✳ ✽ ✴ ❂ ✴ ✳ ✴ ✽ ✶ ✸ ✧ ✲ ✵ ✶ ✾ ✵ ✴ ✾ ✸ ✿ ✥ ✼ ✿ ✾ ✮ ✸ ✱ ✴ ✫ ✾ ✸ ✲ ✽ ✴ ✸ ✷ ✾ ❂ ✾ ✴ ✳ ✴ ✵ ✷ ✫ ✶ ✾ ❆ ✴ ✸ ✮ ✴ ✿ ✵ ✷ ✿ ✸ ✕ ✲ ❘ ❈ ✮ ✿ ✰ ✴ ✫ ✲ ✵ ✿ ✳ ✱ ✴ ✿ ✱ ✫ ✲ ✽ ✻ ✯ ✫ ✲ ■ ✮ ✿ ■ ✥ ✸ ▲ ✱ ✫ ✲ ■ ✮ ✯ ✮ ❅ ✴ ❅ ✴ ❆ ✴ ❁ ✺ ✯ ✾ ❁ ❀ ✱ ✫ ✲ ✸ ✷ ✴ ✽ ✸ ❖ ❀ ✱ ✸ ✫ ✲ ❅ ✯ ❄ ❁ ❀ ✷ ❆ ● ✯ ✿ ❂ ✻ ✻ ✯ ❍ ✴ ❆ ✴ ✾ ✱ ■ ✲ ✮ ✯ ▲ ✾ ▲ ✱ ✸ ✫ ✫ ■ ✲ ❁ ✰ ✿ ❈ ❀ ✳ ✱ ✾ ❀ ✴ ✱ ✾ ✫ ✲ ✾ ❚ ✾ ✲ ✶ ✸ ● ✯ ✻ ● ✯ ✻ ● ✯ ✮ ✻ ✯ ✻ ✯ ▲ ✾ ✶ ✿ ❍ ✱ ✫ ✸ ✲ ✵ ✴ ✸ ❈ ✽ ❃ ✴ ✸ ✾ ❂ ❃ ✾ ✸ ✶ ❅ ✲ ✿ ✽ ✱ ✶ ✲ ✫ ✮ ✴ ✮ ✷ ✸ ❁ ✽ ✾ ✮ ✱ ✧ ✲ ✷ ✸ ✸ ✴ ✴ ✳ ■ ▲ ✳ ✸ ■ ✕ ✴ ✯ ✵ ✴ ❂ ❂ ✱ ✷ ✵ ❁ ✽ ✲ ✲ ✶ ✱ ✷ ● ✸ ✮ ❂ ✎ ❛ ✶ ✸ ✫ ✲ ❅ ✯ ✲ ✲ ✴ ✿ ✷ ✧ ✾ ✧ ✿ ✻ ❛ ✮ ✴ ❆ ❀ ✸ ✥ ✯ ✱ ✾ ✱ ✴ ✸ ❅ ✥ ✽ ✱ ✸ ✥ ❆ ■ ✲ ❈ ✮ ✲ ✾ ✾ ✼ ✱ ✶ ✾ ❚ ✶ ✶ ❀ ✾ ✴ ✱ ✳ ✾ ❂ ✥ ❂ ❏ ✰ ❈ ✳ ✲ ✧ ✺ ✲ ✴ ✺ ✴ ✲ ✲ ✸ ✯ ✸ ✾ ❏ ✷ ✰ ✱ ❆ ❖ ✸ ❄ ✲ ✲ ✾ ✸ ✫ ✱ ✿ ✾ ❂ ✼ ❏ ❑ ❂ ✵ ✾ ✾ ✿ ❀ ✾ ✿ ❃ ❁ ✺ ✲ ❏ ✸ ✯ ✸ ✥ ● ✿ ✺ ✱ ✷ ✮ ✾ ❍ ● ❅ ✱ ❆ ❖ ✰ ✲ ● ✯ ✾ ✿ ✫ ❈ ✻ ✴ ❇ ✼ ✸ ✯ ✸ ✿ ✱ ✲ ✓ ❍ ✻ ❂ ❏ ❅ ❇ ✥ ✲ ✾ ❍ ✰ ✵ ❄ ✴ ✾ ❍ ✯ ✳ ● ✾ ❍ ✺ ✷ ❈ ❍ ✼ ✲ ✿ ✾ ✺ ❈ ✥ ❈ ✵ ❍ ✴ ✷ ✿ ✸ ❂ ✲ ✴ ❀ ✱ ✫ ❁ ✿ ❀ ✳ ✲ ❀ ✴ ✺ ✰ ✾ ■ ✱ ✫ ✲ ✸ ✷ ❅ q ✑ ✓ ✣ ✚ ✷ ✴ ✓ ✒ ✱ ✫ ✲ ❀ ✺ ● ● ✿ ✮ ✿ ✰ ✼ ✱ ❉ ✴ ✾ ✸ ✶ ✾ ✾ ✴ ✷ ✷ ❃ ✷ ✶ ✾ ✳ ✴ ✺ ● ● ✺ ❄ ❁ ✽ ✴ ✻ ✾ ✼ ✱ ❈ ✶ ✧ ✰ ✿ ✮ ✺ ✮ ✿ ❄ ✼ ✱ ✸ ✴ ✴ ✸ ✺ ✮ ✿ ✰ ■ ✥ ✮ ✿ ❅ ✿ ❍ ❃ ❄ ✱ ✸ ✷ ❋ ✶ ✼ ✳ ✰ ■ ✺ ✮ ✻ ✴ ✿ ✦ ✱ ✯ ❃ ✸ ✱ ❅ ✶ ■ ✸ ✴ ✸ ❋ ✸ ● ✲ ✾ ✴ ✸ ✳ ❃ ✸ ✿ ❁ ✵ ✿ ✥ ✴ ✻ ✮ ✾ ✿ ❍ ✱ ✫ ✱ ✳ ❅ ✲ ✦ ✱ ✫ ● ✲ ✯ ✮ ✴ ✸ ❈ ✴ ✰ ✯ ❁ ✫ ■ ✳ ❑ ✴ ✱ ✾ ✫ ● ✲ ✿ ✻ ✲ ✰ ✼ ✺ ✮ ✿ ✮ ❆ ✱ ❃ ▼ ✾ ❂ ✻ ✶ ✸ ❆ ■ ✺ ❃ ✸ ✵ ✦ ✱ ✫ ● ✲ ✺ ❄ ❂ ✾ ✷ ✶ ✸ ❂ ✴ ✸ ❅ ✰ ✼ ✮ ✴ ✾ ✦ ❈ ✶ ✾ ✳ ✴ ✸ ✱ ✫ ✲ ● ✺ ❄ ✫ ✽ ✶ ✾ ✳ ✴ ✸ ✯ ✮ ❏ ✱ ✎ ❈ ✳ ✏ ✱ ✫ ● ✲ ✯ ✴ ✮ ✽ ✿ ✰ ❇ ✺ ✮ ✯ ✰ ❏ ✿ ✰ ✼ ✥ ✻ ✱ ✫ ● ✲ ✺ ❄ ✫ ✥ ✹ ✥ ✻ ✱ ✫ ✴ ✮ ✿ ✰ ✸ ❲ ✿ ✱ ✫ ● ✲ ✮ ✿ ✴ ♥ ❍ ✻ ✥ ● ✱ ✱ ✫ ✯ ✻ ❃ ✰ ✺ ✸ ❲ ✥ ✥ ✻ ✼ ✶ ✺ ✾ ❲ ✺ ✯ ❈ ✿ ✰ ✴ ✱ ❋ ✜ ❛ ✲ ✒ ✰ ✼ ❆ ✻ ❃ ✦ ✸ ❍ ✱ ✧ ♦ ✽ ❃ ✱ ✓ ✸ ✴ ✸ ✯ ✰ ✱ ✫ ✲ ✴ ✸ ✾ ✧ ✥ ✽ ✱ ✫ ✲ ✾ ✲ ✥ ❖ ❖ ✿ ✰ ✿ ❍ ✱ ✫ ✲ ✵ ✒ ✱ ✧ ❂ ✴ ✷ ✴ ❆ ✲ ❑ ✴ ✾ ❬ ✰ ✾ ✰ ✸ ✢ ❈ ❆ ✸ ❀ ✳ ✥ ❑ ✾ ✲ ✴ ❍ ✷ ✥ ✷ ✲ ✲ ✽ ✿ ✴ ✫ ❂ ✰ ❂ ✰ ✴ ✸ ❁ ✸ ✫ ✽ ❅ ✺ ❆ ✱ ✴ ✲ ❑ ❅ ✼ ✲ ♦ ✾ ✯ ❆ ✺ ✺ ✸ ✸ ✥ ✾ ✰ ✴ ✺ ✼ ✲ ❅ ❏ ✵ ✯ ✷ ✾ ❈ ✫ ✳ ✲ ✴ ✺ ✼ ❃ ✱ ✸ ✸ ✱ ✼ ✿ ✴ ✸ ✚ ✷ ✾ ❇ ❑ ✲ ✸ ✴ ✴ ✲ ❆ ✼ ✾ ✾ ✫ ✷ ❑ ✸ ✑ ✷ ✸ ✲ ✸ ❯ ✱ ✴ ❈ ✧ ✴ ✓ ❛ ✳ ✾ ✾ ❈ ✵ ● ❅ ✿ ✾ ✿ ✸ ✼ ✴ ✮ ❄ ✲ ✷ ❄ ✽ ✹ ✸ ✿ ✴ ✥ ✷ ❍ ✿ ❛ ✧ ✲ ✸ ✿ ✸ ■ ✸ ✸ ✺ ✲ ✷ ✲ ✿ ❍ ✫ ❃ ✱ ✸ ✼ ✴ ✱ ✳ ❀ ❅ ❄ ✽ ✦ ✷ ✸ ❍ ✸ ✴ ✿ ● ❈ ✿ ✸ ✴ ✽ ✽ ✮ ✲ ✾ ✫ ✸ ■ ❆ ✸ ❍ ✴ ❁ ✷ ✿ ✸ ✼ ✳ ✾ ❍ ✲ ✲ ✿ ✵ ✫ ✷ ✾ ✑ ✱ ✥ ✮ ✸ ✲ ❑ ✿ ❍ ✸ ❅ ✸ ❈ ✥ ✱ ✮ ✫ ✱ ✲ ✫ ✲ ♣ ❍ ✺ ❀ ❄ ❁ ❀ ❀ ✺ ✯ ✰ ✱ ❉ ✲ ✾ ✸ ❂ ✴ ✾ ❆ ❃ ✾ ❆ ❃ ✾ ❈ ✶ ✷ ❂ ✴ ✸ ✺ ❀ ❄ ❁ ❀ ❀ ✺ ✯ ✰ ❀ ✱ ✫ ✷ ❂ ✴ ❀ ✼ ✮ ✗ ❴ ✱ ✴ ✺ ✹ ❁ ✼ ✿ ✱ ✫ ✷ ❂ ✴ ✸ ❄ ❁ ❀ ✼ ✥ ✾ ❏ ✽ ✿ ✰ ✼ ✱ ✫ ✴ ✰ ✸ ✿ ✷ ✸ ✥ ❀ ✼ ✺ ✴ ✫ ✾ ❇ ✼ ✺ ❲ ✥ ✼ ✺ ✯ ✰ ✱ ✫ ✴ ❇ ✷ ✿ ❇ ✱ ✫ ✿ ❅ ✮ ✱ ❉ ✺ ✰ ✴ ✦ ✽ ✱ ❬ ❀ ❑ ❈ ❏ ✶ ✼ ✾ ✿ ✾ ✸ ✿ ✶ ✱ ✾ ✿ ✴ ✰ € ✺ ✰ ✰ ✴ ✼ ✱ ✧ ● ✲ ✺ ✻ ■ ✱ ✴ ✻ ✴ ❈ ✫ ✲ ♦ ❈ ✱ ✕ ✫ ✷ ✷ ✱ ✸ ❂ ❉ ✲ ✴ ● ❅ ❃ ✸ ❂ ✶ ✸ ✽ ✴ ✾ ✺ ✻ ✥ ✰ ✲ ✸ ■ ✾ ✴ ❏ ✱ ✵ ✾ ✫ ✴ ❅ ✲ ✸ ✽ ✸ ✶ ✸ ❃ ✸ ✵ ✶ ✸ ❅ ✴ ✷ ❃ ✾ ✴ ✽ ✶ ✧ ✾ ✴ ✸ ✸ ✾ ✴ ✾ ❂ ✶ ✾ ✾ ✶ ✵ ✼ ❆ ✥ ❩ ✱ ✴ ❄ ✫ ✸ ✼ ❂ ✴ ✎ ❃ ❅ ✫ ✲ ✸ ✻ ✦ ✱ ✫ ✲ ❝ ✾ ✚ ✶ ✾ ❂ ✴ ✸ ❂ ❃ ✸ ✜ ❬ ✴ ❈ ✏ ✣ ✎ ✢ ✣ ✛ ✏ ✱ ✫ ✲ ● ✺ ✻ ❞ ❜ ✾ ❡ ✾ ❂ ❅ ✴ ✽ ✴ ❏ ❢ ✿ ✴ ✾ ✸ € ✥ ❏ ✺ ✰ ✿ ❍ ✱ ✫ ● ✲ ✺ ✻ ❏ ■ ✿ ■ ✺ ❀ ✳ ✰ ✲ ✴ ✿ ✾ ✽ ✴ ✸ ❣ ✾ ❃ ✳ ❃ ✸ ❝ ✗ ❄ ❍ ✾ ❃ ✾ ❆ ✸ ❈ ❤ ✱ ✮ ✺ ❖ ✼ ❪ ✓ ✻ ✻ ✿ ✰ ✕ ✮ ✥ ❁ ✾ ✷ ✳ ❃ ❀ ✲ ✳ ✚ ❂ ✴ ✾ ❆ ✱ ✫ ✿ ❑ ❅ ✮ ✥ ✻ ✥ ✻ ✮ ✾ ✲ ✦ ✱ ❋ ✿ ✻ ✲ ✼ ✾ ❀ ✴ ❅ ❅ ✴ ✾ ❈ ✴ ✻ ✯ ✾ ✱ ✱ ✫ ✫ ✲ ✲ ❂ ✴ ❃ ✶ ❆ ✸ ✸ ❃ ❂ ❆ ✸ ✴ ✶ ✵ ✷ ✸ ✶ ✳ ❃ ✽ ❆ ✴ ❇ ✴ ✶ ✸ ✳ ❃ ✿ ✾ ❆ ✰ ✱ ✶ ✾ ❅ ✴ ✷ ✾ ✷ ✴ ❃ ✾ ❈ ✴ ✳ ✴ ❚ ✵ ✴ ✾ ❃ ✷ ❑ ✿ ✻ ❏ ✱ ❈ ✶ ✸ ✾ ✲ ✫ ✸ ✷ ✴ ✸ ✾ ✶ ✾ ✾ ✴ ✾ ❆ ❑ ✶ ✿ ✻ ✾ ❖ ✸ ✲ ✾ ✱ ❅ ✴ ✫ ✸ ✲ ❆ ✸ ❆ ✾ ❃ ✷ ✸ ✴ ✽ ✽ ✶ ✶ ✾ ✾ ✸ ❈ ✴ ✴ ✸ ✳ ✵ ■ ❃ ✯ ✿ ✶ ❀ ✱ ✫ ✲ ✸ ♦ ✓ ✒ ❈ ✵ ✓ ❡ ✐ ❥ ❣ ❦ ❧ ❡ ❝ ♠ ❤ ♠ ✐ ❥ ✕ ♠ ✛ ✑ ❯ ✳ ✗ ❃ ✽ ✚ ✶ ✢ ✣ ✾ ✳ ✴ ✾ ♦ ❈ ✱ ✶ ✾ ❜ ✽ ❑ ✲ ✴ ❈ ✿ ✮ ✶ ✴ ✷ ❨ ❙ ✴ ❆ ✴ ✷ ✿ ❈ ❃ ✼ ✵ ✶ ✱ ✯ ✷ ✱ ✾ ✫ ✴ ❋ ✲ ✵ ✲ ✫ ✷ ✲ ❂ ✴ ✸ ✸ ✶ ✷ ✸ ✴ ❆ ❃ ✸ ❂ ❃ ✸ ❆ ❃ ✾ ✸ ♦ ✓ ✒ ✕ ✛ ✢ ✢ ✱ ✫ ✲ ✲ ✿ ✻ ✾ ✵ ❇ ✸ ❁ ✾ ✰ ✳ ❍ ✻ ✲ ✓ ✺ ✶ ❈ ✿ ✴ ✮ ✺ ✾ ✥ ✴ ✾ ✑ ✸ ✲ ✓ ✺ ✸ ✸ ✥ ❈ ✮ ✺ ✲ ✾ ❏ ✻ ✴ ❏ ✾ ✑ ● ✳ ✱ ✿ ✮ ✲ ❈ ✹ ✾ ❍ ✴ ✲ ✿ ✯ ✫ ❅ ❂ ✳ ❍ ❅ ❅ ✿ ✯ ✸ ✲ ✾ ❍ ✸ ✷ ✿ ✺ ✸ ✲ ✷ ❍ ✴ ✾ ✓ ❍ ✸ ✿ ✮ ■ ✱ ✤ ✫ ✪ ✵ ❃ ✯ ✯ ✯ ✲ ✽ ✾ ❃ ❁ ❍ ✸ ✮ ✾ ✼ ❃ ✒ ✸ ❈ ✿ ✶ ❖ ❅ ✴ ✯ ✾ ✮ ❆ ✼ ✶ ✺ ✰ ✕ ■ ✤ ✯ ✾ ✯ ✘ ✱ ✴ ✯ ❯ ✫ ❍ ❯ ✲ ✸ ● ✤ ✷ ❑ ✽ ✿ ✻ ✻ ✥ ❀ ✱ ❚ ✺ ❍ ✲ ❍ ✾ ✱ ✧ ✲ ✿ ❂ ✑ ✰ ✴ ✿ ✱ ✾ ✫ ✲ ❆ ● ✿ ✰ ❍ ✥ ✰ ✼ ❀ ❬ ❑ ✺ ❍ ❍ ✿ ✰ Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 38 of 41 PageID #: 483 ✚ ✎ ✏ ✑ ✒ ✓ ✔ ✕ ✒ ✓ ✓ ✏ ✓ ✖ ✗ ✎ ✒ ✢ ✏ ✣ ✗ ✒ ♦ ✎ ✺ ✻ ✻ ❀ ✷ ✯ ✰ ❑ ✯ ❁ ❑ ✜ ✒ ✓ ✫ ✗ ✰ ✰ ✫ ✼ ✯ ✲ ✸ ✮ ✴ ✮ ✱ ✸ ✺ ❂ ✺ ✲ ✰ ✼ ✫ ✰ ❇ ✸ ✰ ✾ ✿ ❃ ✱ ✸ ✧ ❆ ✣ ■ ✱ ✫ ✲ ✻ ✴ ❂ ✴ ✵ ✴ ✴ ▲ ✿ ❍ ✱ ✫ ✲ ✿ ❯ ✷ ✶ ❂ ✶ ✸ ✾ ❄ ✷ ✴ ❆ ✴ ✿ ✸ ❆ ✶ ✸ ❅ ✴ ✾ ✷ ❍ ✱ ✫ ✿ ❍ ✳ ✱ ✶ ✸ ✸ ❉ ❆ ✻ ✿ ● ✻ ✿ ■ ✻ ✿ ■ ✧ ✼ ✻ ✿ ✰ ✱ ✽ ❆ ✶ ✸ ✸ ❈ ✴ ✾ ✾ ✶ ✲ ✻ ✸ ✿ ✴ ✸ ✰ ❍ ✥ ✶ ✾ ❅ ✴ ❆ ❏ ❏ ✸ ✱ ✸ ✴ ✸ ✫ ❏ ✥ ✷ ❏ ✱ ✫ ✥ ✴ ✥ ✱ ✫ ✲ ✫ ✯ ❏ ✯ ✲ ❏ ✱ ✧ ✲ ✒ ✦ ✧ ✗ ★ ✓ ✩ ✗ ✧ ✪ ✓ ✫ ✬ ✱ ✶ ✱ ❃ ✧ ❅ ✴ ❋ ✸ ❏ ✱ ✶ ✧ ❁ ❄ ✸ ✾ ✴ ❁ ❏ ❁ ✽ ✸ ✲ ✽ ✴ ✾ ✾ ✲ ✱ ✫ ✾ ❈ ❈ ✶ ❋ ✶ ✾ ✴ ✳ ✻ ✼ ✱ ✫ ✲ ✲ ✷ ❖ ✴ ✲ ✱ ✱ ✺ ❀ ✫ ■ ✴ ✼ ✱ ✴ ✸ ❑ ✻ ✲ ❀ ✾ ✰ ✽ ✾ ✫ ✷ ✿ ✺ ✸ ❏ ✸ ✴ ✷ ❈ ✲ ❈ ❘ ✲ ✾ ❍ ✺ ❇ ✾ ✱ ✳ ✴ ✳ ✾ ■ ✴ ✷ ✯ ✶ ✦ ✿ ❇ ✲ ✸ ✻ ❂ ✧ ✾ ✼ ❇ ✯ ❏ ✱ ✴ ❀ ❆ ✰ ✽ ✼ ❈ ✸ ✮ ✸ ✮ ❏ ✷ ✦ ✽ ✚ ✾ ✰ ✲ ❈ ✴ ❀ ✷ ✱ ❃ ✺ ✵ ✯ ✸ ✸ ✿ ✾ ❘ ✲ ✲ ✮ ✴ ❏ ✸ ✴ ❘ ✽ ✲ ❆ ✯ ❂ ✥ ✲ ✷ ✫ ✴ ✉ ✫ ✦ ✴ ✫ ✸ ✸ ✻ ❂ ✸ ✿ ✴ ✰ ✱ ✷ ✱ ✾ ✥ ✰ ✸ ✰ ✺ ✲ ❀ ❀ ❅ ❏ ✿ ✴ ✺ ✾ ✳ ✱ ✸ ✥ ❍ ✵ ✷ ❆ ✴ ❂ ❏ ✲ ✫ ✿ ❍ ✾ ❂ ✾ ✴ ✻ ✽ ✫ ✥ ✲ ❆ ✱ ❆ ✫ ✲ ❍ ❂ ✱ ✱ ✴ ✥ ✾ ❃ ✸ ✻ ✾ ✸ ✴ ✧ ✥ ✲ ✮ ✥ ✳ ✾ ✽ ✵ ✽ ✼ ✲ ✴ ✚ ✿ ✥ ✶ ✳ ✷ ✦ ✾ ❁ ❇ ✷ ✥ ✸ ✼ ✥ ✏ ❈ ✱ ✾ ✛ ✣ ✲ ❍ ✛ ✙ ✰ ❖ ✸ ✻ ✷ ✢ ✸ ✾ ✾ ✯ ✲ ✺ ❁ ✯ ✸ ✥ ✴ ✴ ❂ ❄ ✴ ✺ ✲ ✴ ❂ ✎ ✳ ❚ ❂ ✮ ✽ ✯ ✾ ✫ ❈ ✼ ✸ ✱ ✾ ✱ ✮ ✴ ✒ ✷ ❀ ✸ ✮ ❂ ✛ ✙ ✽ ✿ ✴ ✿ ✸ ✒ ✸ ✮ ❈ ✼ ✰ ✴ ✿ ✲ ✰ ✴ ✸ ✼ ✸ ✺ ✫ ✛ ✤ ✲ ✽ ✱ ❏ ✮ ✱ ✺ ✥ ✸ ✢ ✤ ✷ ✸ ❁ ✣ ❅ ✸ ❏ ✾ ✙ ✾ ✦ ✱ ✯ ✴ ❁ ✸ ✴ ✾ ❑ ✻ ✿ ■ ❁ ✢ ✲ ✼ ✴ ❂ ❅ ❑ ❀ ❀ ❁ ✏ ✣ ✷ ✷ ✫ ✜ ✽ ✿ ✸ ✛ ✱ ✴ ❑ ♦ ✚ ✛ ✤ ✘ ✚ ✎ ✙ ✸ ❅ ✿ ✴ ✱ ✫ ✫ ✾ ✷ ✴ ✸ ❆ ✲ ✲ r ✺ ✮ ✯ ✰ ✦ ✾ ✱ ✾ ✴ ✫ ✸ ✲ ✻ ✿ ✰ ■ ❆ ✼ ✾ ❑ ❆ ✱ ✴ ❈ ✧ ❃ ✲ ✸ ❈ ❏ ❈ ✥ ✮ ✴ ✾ ✴ ✳ ✷ ❘ ✿ ✶ ✾ ✽ ❍ ✱ ✴ ✧ ✸ ✾ ✾ ✵ ✲ ❸ ✺ ❍ ✿ ✥ ✱ ❋ ❀ ✣ ✲ ✻ ✥ ✰ ✾ ✸ ✺ ❏ ❈ ✴ ❖ ✯ ✾ ✺ ❏ ✺ ❏ ✸ ✮ ✸ ✾ ✱ ✸ ✮ ✶ ✼ ✴ ❖ ✵ ✾ ✫ ✴ ✸ ✳ ✶ ✾ ❈ ✴ ✾ ❂ ✺ ✲ ❀ ❀ ✿ ❂ ✴ ❖ ❇ ✺ ✾ ✿ ✧ ✶ ❀ ✲ ✾ ✿ ❯ ✳ ✴ ✸ ✯ ❂ ✱ ✸ ❋ ✸ ✴ ✲ ✷ ✾ ✶ ✾ ❈ ✴ ❅ ✴ ✾ ❂ ✶ ✾ ✳ ✴ ✵ ✚ ✽ ✎ ❃ ✒ ✽ ✢ ✱ ✧ ✲ ✻ ✿ ❀ ❀ ✱ ✧ ✲ ✳ ✴ ✸ ✏ ✣ ✶ ✷ ✱ ✾ ✴ ✵ ❋ ❃ ✲ ✸ ✳ ✰ ✱ ✫ ✼ ✣ ✲ ✳ ✥ ✻ ✴ ✺ ✸ ✾ ✴ ❁ ✸ ❇ ✱ ❈ ❈ ✯ ❍ ✸ ✥ ❂ ❃ ✰ ❈ ✸ ✱ ✴ ✸ ✸ ✫ ✽ ✲ ✻ ✺ ● ✴ ✸ ✿ ✱ ✷ ✸ ✸ ✧ ❅ ✶ ✸ ✸ ❅ ❏ ✥ ✼ ✲ ✴ ✼ ✾ ✸ ✸ ✶ ✾ ✾ ✴ ✸ ❈ ❏ ✿ ❆ ✥ ✮ ✴ ✼ ✼ ✱ ✸ ✧ ❆ ✿ ❃ ✮ ✸ ✿ ❍ ✱ ✧ ❀ ✥ ✼ ✺ ✯ ✰ ✱ ✬ ✻ ✲ ✺ ■ ❑ ✼ ✱ ✫ ✲ ✾ ❆ ✴ ✷ ❃ ✿ ✴ ✱ ✾ ✽ ✵ ★ ✶ ✲ ✸ ✷ ✴ ✾ ✴ ❈ ✶ ✸ ✾ ✾ ❃ ✾ ❂ ❅ ✴ ❈ ❃ ✶ ✸ ❆ ✴ ❈ ✶ ✽ ✴ ❅ ✶ ✽ ✲ ✰ ✯ ❏ ✳ ❈ ✵ ✮ ✥ ✲ ✥ ❏ ✿ ❍ ✱ ❋ ✲ ❆ ✸ ❈ ✴ ✸ ❆ ✶ ✸ ✾ ✵ ✴ ✾ ✾ s ✸ ✽ ✴ ✸ ✳ ❃ ✸ ❅ ❃ ✾ ✷ ✶ ✸ ❅ ✴ ❈ ✾ ❃ ❈ ✶ ✾ ❂ ✴ ✸ ❏ ❖ ✮ ✯ ❇ ✺ ❀ ❅ ✴ ❄ ✱ ❍ ✱ ✫ ✲ t ✥ ❄ ✯ ✿ ✷ ❅ ✯ ✸ ✫ ✴ ✹ ✱ ✫ ✰ ❄ ✲ t ✳ ✺ ✽ ✴ ✿ ✰ ✼ ✺ ✰ ❆ ❄ ✴ ✻ ✸ ❁ ✽ ✱ ✫ ✲ ✯ t ❅ ✫ ✴ ✺ ✰ ✿ ✺ ❀ ✱ ✱ ✰ ❄ ✫ ✲ ✯ t ✮ ✳ ✺ ✰ ❍ ✺ ✰ ❍ ✻ ❍ ✺ ✰ ✻ ✴ ✾ ✺ ■ ✱ ✫ ✲ ✾ ✾ ❇ ✸ ✉ ✺ ✽ ✴ ✧ ✲ ❈ ✴ ✸ ✾ ✶ ✸ ✸ ✴ ✸ ❆ ✶ ✸ ✷ ✴ ✾ ✥ ✳ ✴ ✾ ✴ ❆ ✴ ❍ ❁ ✥ ✻ ❍ ❁ ✥ ✻ ✱ ✫ ❁ ✫ ❏ ✿ ❈ ✴ ✸ ✽ ❃ ✾ ✾ ❃ ✾ ✾ ✶ ✸ ❍ ✱ ✽ ✴ ✫ ✸ ✲ ③ ✸ ④ ✷ ⑤ ✾ ③ ✴ ⑥ ③ ⑦ ⑤ ③ ⑧ ⑥ ③ ⑨ ✴ ⑤ ✺ ✼ ✼ ✻ ✿ ✱ ✧ ✲ ✚ ✥ ✦ ✴ ✸ ❆ ✶ ✾ ❈ ✴ ✾ ✽ ✺ ❇ ✿ ✱ ❋ ✲ ✸ ✿ ✸ ✱ ✸ ✵ ✱ ✾ ❉ ✶ ✵ ✲ ✾ ✸ ❈ ✴ ✾ ✷ ✶ ✾ ✾ ✴ ✸ ✽ ✻ ✶ ✺ ❇ ✴ ✿ ✸ ✴ ✾ ❃ ❍ ✷ ❃ ✱ ✵ ✴ ✫ ✸ ✲ ✚ ✴ ✾ ❄ ❃ ▼ ❆ ✸ ✸ ✸ ③ ④ ✷ ✴ ✵ ❃ ✵ ✴ ✾ ❆ ❅ ⑩ ③ ④ ✥ ✼ ❁ ✮ ✺ ❇ ✿ ✶ ✸ ✾ ✴ ✸ ❆ ✻ ✦ ✱ ✿ ✶ ✾ ✾ ✴ ✾ ✸ ✶ ✾ ✷ ✴ ✸ ✸ ✴ ✫ ✾ ✲ ❏ ✿ ✮ ✴ ✥ ✸ ✻ ✸ ✱ ❂ ❄ ✴ ✿ ✻ ✺ ❇ ✿ ❀ ✱ ✫ ✲ ✸ ✴ ❅ ✱ ✥ ✰ ❚ ❆ ✴ ✸ ❀ ❋ ✷ ❀ ✸ ✰ ✿ ✰ ✿ ✿ ✾ ✷ ✴ ✾ ❈ ✶ ✲ ✶ ✥ ✴ ✾ ✸ ✮ ✸ ❍ ❍ ✱ ✫ ✺ ✻ ✴ ❈ ❃ ✦ ✱ ✳ ❋ ✾ ✶ ✾ ✸ ✴ ✲ ❅ ✶ ✾ ✱ ✧ ✷ ✴ ✸ ✷ ✲ ✴ ✸ ✸ ❃ ✸ ❆ ✲ ■ ✥ ✼ ✸ ✺ ❇ ✿ ✷ ✴ ✾ ✱ ✫ ✲ ❂ ✲ ✶ ✸ ✷ ✴ ✾ ✷ ✶ ✸ ❆ ✴ ❆ ✿ ✺ ■ ❑ ✶ ✾ ❈ ✴ ✹ ✯ ✮ ❑ ✯ ✯ ❍ ✱ ✧ ✲ ✶ ✳ ✽ ✶ ❅ ✰ ✸ ❈ ❃ ✰ ❅ ✸ ✶ ✲ ✸ ✿ ❅ ✾ ✫ ❃ ⑥ ✳ ✾ ❅ ✾ ✥ ✾ ✲ ✲ ✸ ✾ ❃ ❛ ❚ ✶ ✳ ✸ ✱ ❅ ✹ ✴ ❀ ✶ ✵ ✸ ✰ ✱ ❆ ✸ ✲ ✾ ❖ ✸ ❆ ✽ ✥ ❏ ✲ ✾ ✰ ✻ ✵ ✫ ✸ ❅ ✱ ❍ ✸ ❁ ✲ ✴ ✿ ✸ ✵ ✺ ✫ ✳ ✼ ✲ ✸ ✰ ✾ ✿ ✱ ✰ ✱ ❑ ❈ ❍ ✴ ✦ ✾ ✻ ✾ ✥ ❅ ✦ ✾ ❍ ❏ ✲ ❅ ✺ ✷ ✸ ✿ ✻ ✸ ✰ ✣ ✸ ✷ ✸ ✺ ✴ ✰ ✻ ✸ ✾ ✴ ✾ ❈ ✶ ❅ ✴ ❅ ✷ ✏ ✿ ▲ ✱ ✫ ✪ ✲ ✈ ✾ ✺ ❇ ✸ ✺ ✰ ✺ ✾ ❍ ✴ ❁ ✾ ❀ ✱ ✫ ✼ ❯ ✮ ✦ ✱ ✫ ✾ ✸ ✴ ✸ ❯ ✯ ✮ ✿ ❖ ✱ ✫ ✫ ✲ ✷ ✿ ✇ ✴ ✰ ✰ ✵ ❑ ✴ ✥ ✸ ✹ ✸ ✺ ✾ ✼ ✱ ✫ ✦ ✱ ✫ ❂ ✴ ✸ ✴ ❯ ✳ ✴ ✦ ✱ ❑ ✿ ✮ ✾ ✰ ✣ ✸ ✰ ✴ ✯ ✸ ❄ ✼ ✱ ✫ ✲ ❘ ✺ ✰ ✴ ✯ ❄ ✿ ✱ ✫ ✸ ✾ ❂ ✴ ▼ ✼ ❖ ✺ ✰ ❀ ❁ ✯ ❄ ✱ ✫ ✲ ❘ ✺ ❆ ❘ ✰ ✰ ✴ ✸ ❂ ✶ ✴ ✸ ❆ ✶ ✴ ❍ ✸ ✾ ✾ ✸ ✴ ✾ ❂ ✴ ❆ ✶ ✶ ✸ ✾ ✳ ✾ ✴ ✴ ✸ ❅ ✷ ✴ ✺ ✸ ✾ ✼ ❆ ❂ ❁ ✳ ✶ ❀ ✸ ✴ ✼ ✾ ✺ ❈ ✯ ✰ ✶ ✥ ✾ ✻ ✸ ✴ ✱ ✧ ✲ ✸ ✯ ✾ ✱ ✴ ✵ ✫ ✾ ▲ ✾ ✺ ✰ ❀ ✼ ✺ ✼ ✼ ✯ ■ ❁ ✴ ✼ ✺ ✯ ✰ ❀ ✱ ✫ ❀ ✴ ■ ❀ ✱ ✫ ✫ ✸ ❂ ④ ⑧ ✴ ✾ ⑩ ✷ ④ ❃ ⑨ ✾ ✷ ⑥ ④ ✲ ✾ ❏ ✳ ✿ ✴ ✸ ❏ ✰ ✱ ✫ ✲ ✵ ✮ ✴ ✸ ❂ ❏ ✿ ✰ ✶ ③ ✦ ✾ ✼ ✸ ⑤ ✱ ❆ ✺ ✥ ✴ ✸ ✰ ✱ ✸ ❶ ⑥ ✴ ✾ ③ ❃ ⑧ ❈ ⑤ ❃ ④ ✸ ❷ ✸ ⑩ ✫ ✲ ✾ ✽ ❏ ❂ ✿ ✶ ✯ ✴ ✼ ✧ ✾ ✰ ✵ ✥ ✯ ✰ ④ ✿ ✿ ✮ ■ ✥ ✰ ✱ ✫ ✲ ✾ ❅ ❏ ■ ✴ ✸ ❍ ✾ ✱ ❈ ❑ ✴ ✺ ■ ✿ ✱ ✫ ✯ ✰ ■ ✱ ✴ ❚ ✸ ✲ ✳ ✶ ✴ ❆ ✶ ✽ ✴ ✷ ✶ ❅ ✴ ✾ ✸ ✶ ❏ ✺ ✼ ✷ ✴ ✯ ✱ ✴ ✰ ❄ ✸ ✷ ✸ ❍ ✾ ✧ ✸ ✮ ✧ ✺ ✯ ● ● ✴ ✾ ❂ ✱ ❅ ✴ ✷ ❃ ❃ ❚ ✾ ❄ ✯ ✯ ❘ ✱ ❉ ✲ ❏ ✺ ✴ ✰ ✱ ✸ ✳ ✴ ✾ ✽ ✴ ✸ ❂ ❃ ✸ ✳ ❃ ✾ ✷ ❃ ✾ ❆ ✶ ❋ ✽ ❍ ✾ ✾ ✸ ✷ ✶ ✳ ✶ ✸ ✾ ❂ ✴ ✾ ✴ ✸ ✾ ✷ ✶ ❈ ✾ ✴ ✾ ✶ ✷ ❆ ✫ ✴ ✲ ✸ ✰ ✸ ✥ ✽ ✴ ❏ ✿ ❀ ✱ ✫ ✲ ❅ ✴ ✷ ❂ ✱ ✫ ✺ ❄ ❘ ✦ ✱ ✫ ✲ ✲ ✷ ✺ ■ ❑ ✼ ✾ ✾ ✴ ✾ ❂ ❅ ❀ ✴ ✶ ✿ ✸ ✱ ✴ ✫ ✸ ✲ ❂ ✷ ✯ ✼ ✥ ✮ ✦ ✱ ✧ ✲ ✲ ❃ ❬ ✸ ❃ ✲ ✾ ✱ ✾ ✵ ✴ ✸ ✼ ✱ ✧ ✴ ✸ ❅ ✶ ✾ ✶ ✾ ✾ ✶ ✷ ✾ ✴ ✾ ✷ ❆ ✯ ✼ ✿ ❍ ✱ ✫ ✲ ✲ ✷ ✶ ✷ ✫ ✴ ❘ ✲ ✷ ❃ ✾ ✲ ✰ ❈ ✾ ✲ ✵ ✱ ❈ ✶ ✾ ❈ ✴ ❅ ✿ ✲ ❆ ✴ ✸ ❆ ❑ ✸ ✵ ✳ ✳ ✷ ❍ ❃ ✷ ✏ ✿ ❅ ✲ ✷ ✿ ✶ ❖ ✸ ✺ ✴ ✼ ✸ ✰ ✴ ✵ € ⑥ ❆ ✳ ✾ ❃ ④ ✏ ✴ ❃ ✳ ✯ ✸ ❂ ✲ ✾ ❘ ✸ ✰ ✲ ✻ ✯ ✺ ✾ ✲ ❅ ✫ ✸ ✯ ✴ ✳ ✾ ❆ ✱ ✾ ✺ ✳ ✾ ✇ ✾ ✼ ✸ ❅ ✸ ✻ ✵ ✴ ✶ ✾ ✸ ✿ ✲ ❍ ✴ ✥ ✳ ✼ ✳ ✶ ✻ ✸ ✸ ✾ ❯ ✼ ✫ ✿ ❂ ✾ ✰ ✶ ✲ ✷ ✾ ✺ ✵ ✰ ✾ ❅ ✿ ❆ ✥ ✲ ✸ ✴ ✴ ✾ ❯ ❄ ❈ ✰ ✱ ✸ ✰ ✸ ✵ ❍ ✾ ✿ ✲ ✰ ✻ ✰ ✧ ✲ ✳ ✿ ✲ ❏ ✱ ✴ ✸ ✰ ✱ ❅ ✫ ✷ ✫ ❈ ✙ ✷ ✿ ✾ ✺ ❀ ✲ ✲ ❘ ✾ ✰ ✽ ✰ ✻ ✸ ✺ ✥ ✾ ❯ ✱ ✿ ✲ ✵ ❏ ❏ ✸ ✷ ● ✸ ✱ ✷ ✿ ✾ ✰ ✾ ✤ ✲ ❘ ✺ ✴ ✵ ❈ ❀ ❆ ✲ ✾ ✴ ✾ ✸ ✴ ✾ ❈ ✾ ✶ ❹ ✻ ✺ ✰ ❀ ✼ ✮ ✷ ❁ ✸ ❄ ✴ ✸ ✼ ✺ ✯ ✰ ❀ ✱ ✫ ✲ ✾ ✾ ✯ ✯ ❘ ❀ ✱ ✫ ✲ ❏ ✯ ❏ ✿ ✰ ✼ ✱ ✧ ✲ ❂ ✸ ✵ ✾ ✴ ✾ ❂ ✾ ❆ ✾ ❆ ✴ ✳ ✴ ✸ ❈ ✳ ✴ ✷ ① ✺ ✰ ❀ ✼ ✮ ❁ ❄ ✼ ✯ ✮ ✱ ✫ ✻ ✲ ✯ ✼ ✱ ✫ ✲ ✚ ✯ ✰ ✥ ❑ ✥ ✰ ✱ ✫ ✲ ✛ ✾ ✵ ✴ ✾ ✷ ✴ ✾ ✸ ✥ ❘ ❏ ✸ ❏ ✺ ✰ ✼ ✿ ✯ ✰ ✼ ✱ ✫ ✲ ✸ ✾ ✮ ✥ ❄ ✼ ✺ ✯ ✰ ✱ ✫ ✯ ✮ ✿ ✱ ▼ ✷ ✴ ✾ ✴ ✷ ✲ ✲ ✯ ✻ ✥ ✼ ✿ ✱ ✫ ✥ ✼ ❑ ✱ ✫ ✲ ✲ ② ✸ ✸ ✴ ✾ ✽ ✷ ✴ ✸ ✸ ✶ ✸ ❅ ✴ ✳ ❃ ✸ ❈ ❃ ✾ ✸ ❃ ✷ ✾ ✺ ✰ ✼ ✿ ✮ ✿ ❀ ✼ ✱ ✫ ✺ ✰ ❬ ✜ ❬ ✗ ❄ ✮ ✴ ✾ ✺ ❖ ✼ ❪ ✎ ✖ ❅ ❅ ✲ ❯ ✚ ✾ ✣ ✛ ❯ ✓ ✢ ✢ ✓ ✱ ✓ ✫ ✻ ✸ ✶ ✾ ✸ ✻ ✿ ✴ ✸ ✽ ✶ ✾ ✷ ✴ ✸ ❈ ✶ ✾ ❈ ✴ ✾ ✯ ✲ ✰ ✕ ✮ ✥ ❁ ✿ ✮ ✤ ✯ ❁ ✮ ✼ ✒ ✿ ❖ ✯ ✮ ✼ ✺ ✰ ■ ✤ ✯ ✘ ❯ ❯ ✤ ✹ ✉ ✿ ✱ ❄ ❋ ✼ ✲ ✺ ✯ ♦ ✰ ❀ ✺ ✻ ✱ ✻ ❀ ✫ ❬ ✲ ✯ ✹ ✉ ✿ ❄ ✼ ✺ ✯ ✰ ❀ Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 39 of 41 PageID #: 484 ✚ ✎ ✏ ✑ ✒ ✓ ✔ ✕ ✒ ✓ ✓ ✏ ✓ ✖ ✗ ✎ ✒ ✢ ✏ ✣ ✗ ✒ ✎ ❈ ✯ ● ✴ ● ● ✺ ✯ ● ✺ ● ✺ ✯ ● ✯ ✰ ✯ ✯ ❖ ✯ ❖ ❀ ✯ ✮ ✯ ✮ ■ ✯ ✮ ✺ ✼ ■ ✯ ❁ ✯ ❇ ✿ ❇ ✯ ✴ ❆ ✴ ✿ ✮ ❖ ✿ ✮ ❆ ✶ ✾ ✳ ✴ ✸ ✷ ❖ ✶ ✸ ❆ ✴ ✾ ✶ ✷ ❂ ✴ ✰ ✾ ✴ ❈ ✺ ✥ ✮ ✸ ✿ ✼ ✦ ✱ ✫ ✲ ✼ ✺ ✯ ✰ ❀ ✱ ✫ ❖ ✲ ✮ ✺ ✿ ❍ ✱ ✫ ✲ ❄ ✻ ✱ ✫ ✲ ❖ ✥ ✫ ✲ ❖ ✻ ✥ ✾ ✶ ✾ ✸ ✴ ✵ ❅ ✶ ✴ ✸ ✾ ✾ ❈ ❃ ✴ ✸ ✸ ✳ ❅ ❖ ✻ ✥ ✻ ✥ ✿ ❀ ✻ ✱ ❃ ✻ ✾ ✱ ❃ ✧ ✥ ❖ ✻ ✿ ❖ ❏ ✸ ✸ ❃ ✸ ✾ ❃ ✸ ❖ ✷ ✶ ✱ ✸ ✾ ✵ ✧ ✴ ✸ ❂ ❖ ✮ ✯ ❖ ✮ ✯ ❖ ✮ ✯ ❖ ✮ ✯ ❖ ✮ ✯ ❖ ✮ ✸ ✲ ✮ ✙ ● ● ✱ ✫ ✼ ✴ ✺ ❂ ● ✵ ✴ ✾ ✸ ✲ ❖ ✮ ❖ ✮ ❃ ✲ ❖ ✮ ✸ ❆ ❃ ✾ ✸ ✶ ❅ ✴ ✸ ❖ ✮ ✾ ✱ ❈ ✲ ✷ ❖ ✶ ✾ ✷ ✴ ✸ ✸ ✶ ✷ ❂ ✴ ✸ ✮ ✱ ✸ ✫ ✸ ✿ ❄ ✿ ✮ ❀ ❄ ✿ ✮ ❊ ❈ ✶ ✱ ✾ ✫ ✳ ✴ ✾ ✲ ✮ ✿ ❄ ✱ ✫ ✲ ✒ ✱ ✫ ❀ ✱ ✫ ❃ ✺ ✸ ✰ ✴ ❃ ✺ ❂ ④ ⑦ ✸ ❈ ✯ ✸ ✶ ❃ ⑤ ✸ ✴ ✵ ✮ ❃ ✮ ④ ⑥ ④ ⑨ ⑤ ④ ③ ❀ ✯ ✮ ✱ ✫ ✸ ❏ ✮ ✿ ■ ❀ ✱ ✫ ✼ ✱ ✫ ❁ ✰ ✿ ❄ ✺ ✰ ■ ✱ ✫ ✮ ✿ ✻ ✮ ✿ ✻ ✮ ✿ ❏ ✲ ✒ ✦ ✧ ✗ ★ ✓ ✩ ✗ ✧ ✪ ✓ ✫ ✬ ❃ ✵ ✿ ❇ ❂ ✮ ✿ ✶ ✴ ✷ ✸ ✱ ✴ ❂ ✾ ✸ ❃ ✸ ✳ ❉ ✸ ✴ ❃ ❃ ✰ ✵ ✸ ✽ ✶ ✽ ✶ ✺ ✿ ✾ ✵ ✴ ✾ ❆ ✮ ✶ ✸ ✽ ✴ ✾ ✺ ❀ ✾ ✵ ✾ ✶ ✷ ✾ ✴ ✸ ✸ ❃ ✸ ✾ ✮ ✺ ✶ ✸ ✳ ✴ ✸ ✷ ✶ ✾ ❅ ✴ ✸ ❆ ❃ ✒ ✺ ❲ ❀ ✶ ✴ ✵ ✮ ✴ ✼ ✸ ✼ ✼ ✷ ❃ ✾ ❆ ✯ ✲ ✮ ✫ ✲ ❍ ✯ ✽ ❃ ❍ ✸ ✱ ❚ ✾ ✫ ✲ ❃ ✸ ✶ ✸ ✽ ✴ ❀ ✱ ✯ ✒ ✸ ❀ ✷ ❀ ❑ ✶ ✿ ✺ ✷ ✱ ❖ ❂ ✧ ✱ ✴ ✸ ✧ ✲ ✮ ✱ ✴ ✸ ❈ ✶ ✴ ✵ ✴ ❃ ✶ ✸ ✾ ✸ ❅ ❈ ❃ ✴ ✾ ✷ ❈ ❃ ✳ ✶ ❃ ✾ ❈ ✽ ✶ ✶ ❆ ✫ ✲ ✲ ❃ ✾ ❂ ✶ ✸ ❂ ✴ ✸ ✸ ✸ ✱ ❉ ✲ ✾ ✶ ✓ ✸ ✳ ✏ ✴ ✢ ✾ ❃ ✳ ♦ ✶ ✾ ✎ ❆ ✴ ✱ ❯ ✾ ❆ ✫ ✲ ✷ ✺ ✰ ✿ ✴ ✱ ✹ ✸ ✲ ❑ ❍ ✮ ✻ ❄ ✯ ❏ ✱ ✫ ✲ ✾ ✮ ✥ ✵ ✴ ✼ ✱ ✾ ✾ ✦ ✸ ✧ ✶ ✱ ✴ ✫ ❈ ❾ ❅ ✷ ✲ ✾ ✾ ■ ✷ ❅ ✽ ❂ ✫ ✵ ✴ ✴ ✼ ✸ ✲ ❚ ✷ ❀ ✶ ✾ ✾ ✯ ✸ ✼ ❁ ✶ ✵ ✴ ❁ ✾ ✽ ❀ ✹ ✲ ✴ ❅ ✱ ✴ ✾ ✰ ✴ ✿ ❖ ❉ ✾ ✲ ✶ ✫ ✸ ✱ ✾ ✮ ✲ ❈ ❈ ✱ ❂ ✳ ✱ ❁ ❆ ✯ ✴ ✥ ✫ ✴ ✾ ✲ ✲ ✿ ✷ ✸ ❅ ✴ ✲ ✲ ✸ ✾ ❃ ✫ ✗ ❈ ✲ ❈ ✛ ✮ ✳ ✴ ✽ ✻ ✒ ✱ ❆ ✿ ✷ ✿ ❆ ✴ ✻ ✶ ✵ ✫ ✴ ❍ ❋ ✲ ✫ ✫ ❃ ✸ ❍ ✯ ✷ ✺ ❅ ✥ ✒ ✸ ✱ ✱ ❃ ✴ ✥ ✯ ✮ ■ ✮ ✵ ✿ ❂ ✮ ❂ ✿ ✴ ✥ ✲ ✲ ✴ ✴ ✰ ❀ ✿ ✳ ✫ ✵ ❅ ✺ ✼ ✴ ✥ ✫ ✲ ✸ ✾ ❍ ✵ ✱ ✫ ✫ ❀ ✶ ✫ ✵ ✥ ✽ ✮ ❀ ❚ ✶ ❍ ✸ ❀ ✱ ✱ ✾ ✺ ✿ ✿ ❑ ✴ ✷ ✰ ✱ ✲ ✱ ❅ ✱ ✱ ✾ ❀ ✾ ✴ ❖ ✫ ✰ ✸ ✸ ✸ ✱ ✱ ✰ ✯ ✴ ✷ ✿ ✳ ✯ ✼ ✴ ✺ ✵ ❈ ✺ ❑ ✳ ✼ ❃ ✲ ✱ ✴ ✽ ■ ✶ ✼ ✺ ❍ ✫ ✸ ✺ ✸ ✾ ✰ ✱ ✴ ✺ ✿ ▲ ❀ ✸ ✰ ✻ ✷ ✷ ✴ ✷ ❇ ✶ ✲ ✷ ✮ ✼ ✸ ❇ ✺ ✿ ✷ ✺ ✴ ✷ ✴ ✺ ❃ ✹ ✳ ❂ ✥ ✻ ✷ ✽ ✿ ❂ ✾ ✸ ✯ ✸ ❄ ✸ ✾ ❆ ✳ ✲ ❃ ✰ ❆ ✷ ✸ ❃ ❅ ✾ ✻ ✲ ❃ ✳ ✺ ✸ ✺ ✸ ✴ ✾ ✾ ✴ ✻ ✾ ✸ ✸ ✺ ✿ ✿ ✸ ✾ ✯ ✿ ✮ ❁ ✵ ✴ ✥ ✲ ✺ ❉ ✸ ❆ ✸ ❃ ✴ ✼ ❏ ✥ ✲ ✵ ✴ ✥ ❂ ❀ ❀ ✶ ✴ ✼ ✾ ✲ ✸ ✸ ✮ ❄ ✴ ■ ❃ ✸ ✰ ✷ ✮ ✸ ❆ ✸ ✷ ❈ ✶ ✸ ✴ ✮ ✲ ✵ ❈ ✿ ❃ ✸ ✾ ✾ ❀ ✿ ✴ ✼ ✽ ✮ ✶ ✶ ✸ ✸ ✮ ■ ✮ ✮ ✥ ✿ ❀ ✿ ❆ ✯ ✾ ✽ ● ✴ ✮ ❆ ❆ ❄ ❉ ✥ ✸ ✷ ✮ ✿ ✿ ✴ ❖ ✲ ✴ ✸ ✱ ✴ ✿ ⑥ ❈ ❀ ● ✾ ✲ ✾ ✷ ❅ ❍ ❆ ✾ ✶ ③ ✫ ✳ € ✲ ✽ ⑩ ✱ ❃ ❂ ❜ ✸ ❻ ✰ ✳ ✱ ❆ ✸ ✷ ✲ ❋ ❆ ✴ ✶ ✫ ✴ ✴ ✿ ✵ ✸ ✾ ✷ ❀ ✸ ⑥ ❃ ✽ ✿ ✶ ✱ ✿ ✲ ✳ ✮ ✾ ❜ ❆ ✴ ✯ ❈ ❆ ✸ ✳ ✺ ❻ ✱ ❃ ✸ ✼ ❀ ✰ ❂ ✶ ✸ ❀ ✯ ✿ ✲ ✴ ✴ ❍ ✲ ❃ ❅ ❂ ✿ ✶ ❆ ✾ ✮ ❂ ✪ ✫ ✽ ✻ ✸ ❅ ❆ ✴ ✴ ❀ ✸ ✱ ❆ ✯ ❃ ✫ ✾ ✻ ✾ ✸ ✮ ✼ ✸ ✾ ✯ ✲ ✱ ✶ ✻ ✷ ✿ ✮ ✽ ✱ ✸ ✫ ■ ❂ ✸ ✸ ✴ ❄ ❄ ✿ ✴ ✮ ❈ ✦ ✶ ❈ ✲ ✲ ❃ ✸ ✻ ✽ ✫ ✱ ❉ ❈ ✸ ✥ ✲ ❀ ✰ ❆ ❄ ✲ ✷ ❈ ✿ ✻ ✴ ✸ ✱ ✾ ✴ ✻ ✵ ✱ ❋ ✮ ④ ✰ ✸ ■ ✿ ✵ ✿ ✯ ❅ ✰ ❄ ✾ ✾ ✴ ✿ ✲ ❈ ✴ ✉ ✺ ❄ ✶ ✴ ✯ ✫ ✮ ✴ ✺ ✾ ❂ ✾ ✴ ✽ ✿ ✾ ✥ ✲ ✾ ✮ ⑤ ■ ✵ ✧ ✴ ✱ ❍ ✾ ✳ ✴ ✯ ✱ ✿ ❁ ● ❅ ❋ ✸ ❃ ✯ ❈ ✴ ✴ ✷ ● ✿ ✳ ❍ ❂ ❁ ✴ ✮ ❈ ✴ ❆ ✯ ✲ ✴ ✱ ✷ ❁ ❅ ✵ ❉ ✲ ✼ ✾ ✧ ✧ ❅ ❍ ✥ ✳ ❍ ✷ ❑ ✽ ❅ ❄ ✾ ✴ ❻ ✵ ✱ ✾ ✴ ✰ ✱ ❂ ✫ ✸ ❀ ✲ ✿ ✱ ❊ ✽ ✫ ❀ ✴ ● ❃ ✿ ✾ ❄ ✥ ✸ ✿ ✴ ✸ ✶ ❁ ❍ ④ ✿ ✾ ✴ ✴ ✲ ✮ ✱ ✦ ❀ ❁ ❍ ✷ ✺ ✥ ✳ ✦ ❍ ❁ ✸ ✯ ✦ ✾ ✻ ✸ ❈ ✸ ✮ ✲ ✮ ✾ ❍ ✾ ✿ ✶ ❑ ✷ ✷ ❀ ✳ ✯ ✮ ✲ ✵ ❍ ✾ ✫ ✲ ✴ ✻ ✶ ✹ ✴ ✻ ✺ ✿ ❈ ✸ ✱ ✧ ✫ ✽ ✵ ✸ ❍ ✲ ✫ ✿ ✴ ✲ ✫ ❄ ■ ❅ ❄ ✸ ✱ ✾ ✮ ✸ ❍ ✽ ✲ ✿ ✴ ✲ ✫ ❄ ✴ ✥ ✷ ❀ ✶ ✴ ✽ ✯ ✲ ✽ ✫ ✱ ✱ ✱ ✾ ✿ ✴ ✫ ✱ ✮ ✾ ✰ ✥ ✺ ✽ ❖ ✿ ✸ ❁ ✥ ✾ ✰ ✱ ✾ ❀ ❈ ✹ ✸ ✽ ✦ ✯ ✸ ✯ ❅ ✷ ✲ ✸ ❇ ❀ ❆ ✮ ✲ ✮ ❆ ✥ ✾ ✾ ✱ ✿ ✸ ✼ ✽ ✳ ✲ ✴ ✺ ✾ ❈ ❋ ✻ ✲ ❈ ✧ ❖ ✺ ✱ ❀ ✰ ✾ ✫ ✴ ✺ ✼ ❃ ❁ ✯ ✾ ✰ ✾ ✺ ✴ ✼ ❅ ✯ ❏ ❅ ❆ ✿ ✺ ✲ ✴ ✼ ✾ ❍ ✸ ✮ ✿ ✴ ✽ ✯ ✸ ✺ ❇ ✸ ✱ ❈ ❄ ✿ ✲ ✓ ✴ ✿ ✮ ✷ ❂ ✲ ✸ ❍ ✵ ✸ ✫ ✾ ✯ ✴ ❇ ✾ ✫ ❋ ✸ ✶ ✮ ✴ ❖ ❈ ✿ ✳ ✲ ❆ ❆ ✿ ✾ ❂ ❅ ✺ ✶ ✙ ✴ ✮ ✶ ✲ ✱ ✱ ✮ ❄ ❂ ✾ ❍ ❀ ✶ ✴ ✾ ✶ ❈ ✴ ❄ ✳ ❆ ✴ ❁ ✸ ✸ ❅ ✿ ❂ ✸ ✾ ✥ ✻ ❖ ❁ ✼ ❃ ✴ ✱ ✳ ✺ ✳ ✷ ❀ ✾ ❑ ✴ ❀ ✸ ✼ ✸ ❀ ✷ ✿ ✶ ✰ ✴ ❬ ✲ ✫ ✿ ✏ ✷ ✽ ❖ ✰ ❂ ❄ ✴ ✸ ✸ ✸ ✼ ✸ ✸ ✫ ✱ ❏ ❖ ✴ ✾ ❖ ✯ ✾ ✴ ✱ ✼ ✥ ❀ ✽ ❀ ✾ ✛ ✺ ✙ ✴ ❆ ♦ ✙ ✽ ❀ ✷ ■ ✴ ✿ ✴ ✶ ✾ ✿ ✾ ✿ ✮ ❖ ❂ ✵ ✮ ❂ ✮ ❖ ❅ ✯ ❑ ✷ ✫ ✴ ✮ ✾ ❲ ✾ ✷ ✿ ❆ ❖ ❲ ✸ ✴ ✸ ✸ ✴ ✲ ✲ ✾ ✾ ❊ ✰ ❅ ● ✫ ✬ ❃ ✶ ✿ ✿ ❖ ✾ ❀ ✸ ✱ ✾ ✴ ❄ ✲ ✱ ❂ ✻ ✫ ✰ ✿ ✴ ✴ ✿ ❂ ✾ ❖ ❂ ❖ ✱ ✥ ❅ ✶ ✻ ✴ ✮ ✸ ✺ ✸ ❖ ✾ ✥ ✱ ✸ ✸ ❈ ✲ ❁ ✸ ✰ ❖ ✷ ✱ ❈ ✴ ✾ ✲ ❈ ✮ ▲ ❃ ✸ ✴ ❅ ✿ ✳ ❈ ❈ ✬ ✮ ✾ ✾ ✶ ❀ ❅ ✾ ✯ ✾ ✮ ✸ ✾ ✴ ✳ ✰ ✱ ✿ ❃ ✺ ❅ ✼ ❇ ✴ ✮ ✾ ✯ ✾ ✴ ✿ ✸ ❂ ✼ ✴ ✺ ✸ ✸ ✺ ✸ ❑ ✴ ✷ ✲ ✸ ✰ ✷ ✯ ❅ ✸ ✱ ✥ ✏ ✸ ❁ ❅ ✯ ✵ ✰ ❂ ✿ ✛ ✣ ❖ ❘ ✴ ✷ ❖ ✢ ✾ ✸ ■ ✯ ✎ ✾ ❄ ✴ ❅ ✾ ✸ ✫ ✮ ✥ ✾ ✿ ✒ ✲ ✸ ✺ ✰ ✾ ✽ ✸ ✴ ❂ ❖ ✲ ✱ ✮ ✾ ✲ ✫ ✴ ✽ ✿ ❈ ✸ ✴ ✥ ✼ ✾ ✛ ✙ ❅ ✱ ✷ ✥ ✒ ❆ ✼ ✾ ✾ ✶ ❋ ✴ ✯ ✾ ✴ ❀ ✾ ✙ ✫ ✫ ✸ ✰ ■ ✸ ✴ ✥ ✸ ✱ ✴ ✸ ✸ ✲ ❂ ✾ ❖ ✾ ✸ ✾ ✷ ✸ ✴ ✴ ❂ ✴ ✾ ❂ ✿ ✸ ✸ ✶ ✾ ❃ ✛ ✤ ✲ ✱ ✾ ✗ ✲ ★ ✦ ✸ ✸ ✶ ❈ ❊ ✻ ✓ ✸ ❋ ✴ ✾ ✰ ✒ ✲ ✳ ✿ ✸ ✷ ✱ ❅ ✱ ✾ ✧ ✫ ✱ ✸ ✿ ✾ ✜ ❆ ✿ ✴ ✸ ✢ ✤ ✳ ✱ ✴ ✴ ✷ ✶ ✻ ✸ ✰ ❄ ✰ ✥ ✸ ✵ ✯ ✱ ✸ ✴ ✿ ✰ ✣ ✙ ✶ ✾ ✺ ✸ ✯ ✙ ✲ ❅ ❀ ✴ ❂ ✧ ✸ ✿ ❆ ✼ ✷ ✱ ✴ ❄ ✸ ✶ ✿ ❂ ● ✢ ❖ ❈ ❄ ✷ ✯ ✾ ✾ ● ✏ ✲ ❄ ✸ ✜ ❈ ❋ ✴ ● ✛ ❅ ✱ ✳ ✯ ✚ ✛ ✤ ✘ ✚ ✎ ✙ ✲ ✾ ✫ ✽ ✴ ✾ ❈ ✲ ✾ ✲ ❿ ❺ ❖ ✯ ✮ ✼ ✾ ❖ ❖ ✥ ❄ ✿ ✱ ✫ ❖ ✥ ❆ ✴ ■ ✸ ✿ ✥ ✯ ✮ ✴ ✼ ✦ ✾ ✮ ✥ ✻ ✱ ✫ ✲ ❁ ✙ ✹ ✾ ✥ ✻ ❈ ✦ ✺ ✰ ■ ✱ ✧ ✲ ❖ ✴ ❁ ✺ ❄ ✸ ✼ ✱ ✷ ✱ ✶ ✧ ✧ ✲ ✷ ❅ ✾ ✴ ✾ ❅ ✾ ✷ ✲ ✴ ✸ ✳ ✿ ✵ ✴ ✶ ✷ ❏ ❂ ✹ ❈ ✶ ✽ ✴ ✿ ✴ ✾ ✮ ✸ ✱ ❂ ✶ ❉ ✸ ✲ ❆ ✴ ✸ ✽ ✶ ✲ ❀ ✾ ✾ ✮ ✸ ✸ ✴ ✸ ✳ ❃ ✸ ❅ ✾ ✾ ✴ ✾ ✷ ✶ ✴ ✾ ✷ ✸ ✳ ✴ ✥ ❏ ✱ ✫ ✲ ❖ ✯ ❖ ✯ ❀ ✺ ❀ ❀ ✼ ✺ ✯ ✰ ❀ ✱ ✫ ✲ ✮ ✿ ❖ ✮ ✿ ❖ ✿ ✿ ✱ ★ ✲ ❆ ✽ ✥ ✼ ✱ ✫ ✲ ❈ ✴ ✽ ❃ ✳ ❃ ✸ ✷ ✶ ✽ ✴ ✸ ✳ ✶ ✾ ❈ ✴ ✵ ❃ ✽ ❃ ✽ ❼ ✷ ❖ ✥ ✸ ■ ✴ ✿ ✸ ✵ ✵ ❀ ✱ ✫ ✴ ✷ ✴ ✥ ✷ ✥ ❂ ✮ ✸ ❁ ❆ ✰ ❃ ✸ ✼ ✱ ✧ ✱ ✸ ✱ ✫ ✲ ✫ ✯ ❀ ✵ ✴ ❀ ✾ ✴ ✺ ✾ ✹ ✦ ✱ ✫ ❁ ✥ ✻ ❅ ✴ ✯ ❀ ✸ ❂ ✼ ♥ ✱ ✫ ❂ ✴ ✼ ✺ ✿ ❀ ✱ ✫ ✴ ✸ ❆ ✮ ❀ ✥ ❀ ✿ ✱ ✫ ❄ ❑ ✿ ❂ ❁ ✺ ✲ ✴ ✼ ✸ ✿ ✾ ✵ ❖ ✸ ✮ ✼ ✿ ✮ ✱ ✫ ✸ ✲ ❃ ✸ ✮ ❂ ✿ ❆ ❖ ✴ ✮ ♦ ✤ ✳ ✾ ✗ ✿ ✴ ✻ ✾ ✿ ✱ ✫ ✲ ❈ ❀ ✿ ✰ ✓ ✼ ✱ ✫ ✴ ✏ ✚ ✇ ✎ ✏ ✱ ✫ ✲ ❆ ✛ ✤ ✒ ✗ ✓ ✗ ✓ ✱ ❋ ✪ ✲ ✲ ✳ ✾ ✴ ✲ ✷ ✧ ✽ ❁ ❅ ❅ ✯ ✾ ✱ ✴ ✴ ✗ ✿ ❍ ✲ ✲ ✮ ✾ ✳ ✺ ✲ ✲ ✸ ❂ ❑ ✳ ✻ ✲ ✷ ✸ ✿ ♥ ✯ ✴ ✼ ✻ ❆ ❏ ❖ ❖ ✾ ✹ ✾ ❖ ✮ ✸ ✺ ✲ ✸ ✾ ✥ ✙ ✾ ✴ ✸ ❃ ✵ ✶ ✵ ✴ ✸ ✶ ✽ ✴ ✸ ✶ ❅ ✴ ✸ ✶ ✽ ✽ ✸ ❂ ✴ ✸ ✶ ✸ ✸ ❆ ✴ ✸ ✶ ✸ ✸ ✽ ✴ ✸ ✶ ✸ ✾ ✾ ✴ ✸ ✶ ✾ ✳ ✴ ✸ ✶ ❶ ❷ ✸ ✴ ✸ ✶ ✸ ✾ ✴ ✸ ✶ ✸ ✷ ✴ ✸ ✶ ❈ ✴ ✸ ✶ ✸ ✳ ✴ ✸ ✶ ✸ ✵ ✴ ✸ ✶ ❅ ✴ ✸ ✶ ✾ ❂ ✴ ✸ ✶ ✾ ✴ ✸ ✶ ✾ ✷ ✴ ✸ ✶ ✾ ❆ ✴ ✸ ✶ ✾ ❈ ✴ ✸ ✶ ✾ ✵ ✴ ✸ ✶ ✾ ✽ ✴ ✸ ✶ ✾ ❅ ✴ ✸ ❽ ❖ ❖ ✥ ✮ ✼ ✸ ❖ ✥ ✺ ❈ ✮ ❄ ✺ ✴ ✼ ✺ ✸ ❖ ✥ ✼ ✿ ❍ ✱ ✫ ✮ ❄ ✽ ✽ ❄ ✥ ❁ ✻ ✥ ✮ ✱ ❋ ✼ ✺ ❄ ✺ ✰ ■ ✱ ✫ ✲ ✮ ❖ ✲ ✮ ✴ ✿ ✴ ✽ ✶ ✸ ❅ ✴ ✸ ❆ ✶ ✾ ❅ ✴ ✸ ❏ ✹ ✻ ✿ ✱ ✫ ✲ ✮ ✥ ❖ ✥ ✮ ✼ ✮ ✼ ✾ ✚ ✺ ✰ ✺ ✸ ❬ ❄ ✴ ✺ ✜ ❁ ✷ ✻ ❃ ✿ ✾ ❀ ❬ ✥ ✻ ✦ ✱ ✧ ❑ ✮ ✿ ❀ ✮ ✺ ❖ ✼ ❪ ✿ ✮ ✿ ✷ ✿ ❀ ✰ ✴ ✿ ✻ ✱ ✧ ✿ ❀ ❆ ❀ ✿ ✰ ✼ ✥ ✼ ✺ ✯ ✰ ✱ ✫ ✲ ✼ ✥ ✼ ✺ ✯ ✰ ✱ ✫ ✴ ✾ ✾ ❃ ✾ ✿ ✮ ✥ ✒ ✎ ■ ✺ ✰ ■ ✱ ✫ ✿ ❍ ✱ ✧ ❅ ✴ ✮ ✻ ✻ ✿ ✰ ✕ ✮ ✥ ❁ ❯ ✿ ✮ ❄ ❑ ✱ ✧ ✲ ✴ ✸ ✳ ❃ ✸ ✙ ✤ ♦ ✱ ✯ ❁ ✸ ✽ ✿ ❀ ✿ ✮ ❇ ✿ ❍ ✱ ✫ ✧ ✮ ✿ ✴ ❀ ✸ ❖ ✿ ❂ ❀ ❄ ✼ ✺ ❇ ✿ ✶ ✲ ✵ ✲ ✓ ✮ ✾ ❈ ✼ ✥ ✸ ✲ ❆ ✰ ✾ ✷ ✲ ✒ ✴ ✲ ✸ ✸ ✸ ❖ ✲ ✿ ❆ ✲ ✾ ✫ ❄ ✴ ❄ ✷ ✷ ✱ ✗ ✮ ✵ ✥ ❈ ❖ ❖ ✮ ✸ ✥ ✸ ✸ ❖ ✷ ✒ ✸ ✿ ✲ ✱ ✫ ✲ ❄ ✮ ✿ ✸ ⑤ ④ ✿ ❅ ✰ ✴ ⑥ ❶ ✱ ④ ⑤ ✫ ④ ⑩ ④ ➀ ⑥ ❶ ③ ⑤ ⑦ ⑩ ④ ❻ ✲ ✳ ✲ ✼ ✒ ✿ ❖ ✯ ✮ ✼ ✺ ✰ ■ ✤ ✯ ✘ ❯ ❯ ✤ ✱ ❉ ✲ ✯ ● ● ❬ ❀ ❄ ✮ ✿ ✿ ✰ Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 40 of 41 PageID #: 485 ✚ ✎ ✏ ✑ ✒ ✓ ✔ ✕ ✒ ✓ ✓ ✏ ✓ ✖ ✗ ✎ ✒ ✢ ✏ ✣ ✗ ❀ ✒ ❄ ✎ ✮ ✺ ❖ ❅ ❄ ✮ ❀ ✿ ✥ ④ ✿ ✷ ✣ ✢ ✤ ✸ ❈ ④ ✒ ✓ ❃ ➁ ✾ ⑥ ✸ ④ ❃ ③ ⑤ ✾ ✷ ③ ✶ ✗ ⑥ ④ ✗ ❶ ⑤ ④ ❷ ✫ ✰ ✴ ✾ ✯ ✴ ✮ ❍ ✱ ✫ ✲ ❀ ✯ ✸ ✿ ✫ ✸ ✷ ✴ ✷ ✶ ✾ ✵ ✴ ✼ ✮ ✸ ✾ ✬ ✾ ❋ ✶ ✾ ✱ ✸ ✢ ✛ ✣ ✿ ✱ ✫ ❁ ✹ ✲ ✴ ❁ ❃ ✸ ❈ ✶ ✸ ❆ ✴ ✳ ✴ ✸ ✵ ❃ ❂ ✶ ✽ ✴ ✳ ✴ ❈ ✶ ✾ ❂ ❃ ✸ ✸ ✽ ✾ ✶ ❂ ✾ ✾ ✶ ✸ ❃ ❀ ❈ ✾ ✴ ❈ ✸ ✾ ❁ ✸ ❆ ❀ ▲ ✾ ✶ ✾ ❈ ✸ ✶ ✸ ✸ ✷ ✶ ❈ ✴ ✾ ❂ ✴ ✸ ✾ ✳ ❃ ✴ ✾ ✷ ✸ ✲ ✾ ✧ ❆ ✼ ✮ ❁ ✼ ✮ ✦ ✲ ✴ ✷ ✾ ❆ ✶ ✸ ✵ ✴ ✸ ❂ ✶ ✼ ✮ ✧ ✶ ✲ ✳ ✼ ✴ ✴ ✶ ✷ ❂ ✱ ✴ ✫ ✿ ❄ ✼ ✺ ✾ ❀ ✿ ✯ ✰ ✽ ✿ ✴ ❀ ✾ ❏ ✱ ✫ ✲ ✾ ✸ ✿ ❀ ❍ ✱ ✫ ✯ ❆ ✮ ✼ ✲ ✷ ❀ ✸ ✱ ✳ ✴ ✫ ✴ ✾ ✾ ✸ ✴ ✾ ❈ ✗ ✯ ❁ ✼ ▲ ✿ ✿ ❀ ✱ ✫ ✲ ✷ ✸ ✱ ▲ ✲ ✾ ✿ ✷ ✻ ✴ ● ✸ ✱ ✸ ✫ ❀ ❖ ✿ ✲ ✸ ✴ ✸ ✾ ✿ ✰ ❍ ✱ ✫ ❘ ✱ ✸ ❉ ✾ ✥ ✻ ❘ ✥ ✱ ❀ ✿ ✸ ✫ ✰ ✴ ✲ ❀ ✾ ✗ ✵ ❖ ✴ ✿ ✾ ❄ ✿ ✾ ✱ ❋ ✲ ❀ ❖ ✸ ✺ ✳ ✺ ✸ ❘ ❀ ✿ ❂ ✰ ✴ ✼ ✾ ✾ ✱ ✶ ✧ ✾ ✸ ✴ ✷ ✶ ✾ ✷ ✴ ✾ ✸ ✴ ✾ ✾ ❃ ✾ ❈ ❀ ✿ ✮ ❀ ✿ ✼ ✸ ✲ ✴ ❇ ✸ ✗ ✺ ✸ ✾ ❄ ✽ ❃ ✿ ✴ ✸ ✺ ✺ ❄ ✾ ✥ ✷ ✼ ✾ ♥ ✻ ❃ ✱ ✴ ❁ ✱ ✸ ❈ ✻ ✾ ❉ ✾ ✥ ✫ ✵ ✲ ❀ ❀ ✫ ❀ ✼ ✾ ✦ ✱ ❈ ✶ ✾ ❉ ✾ ✷ ✱ ❂ ✾ ❅ ✴ ✸ ✴ ■ ❅ ❃ ❑ ✥ ✻ ✻ ✱ ✧ ✲ ❀ ✼ ✼ ✺ ❏ ✥ ✼ ✿ ✻ ✦ ✱ ❋ ✗ ✾ ❈ ✴ ✸ ✽ ✾ ❆ ✴ ✾ ✶ ✾ ❈ ✴ ✸ ✵ ✶ ✾ ❅ ✴ ✾ ✓ ✴ ✰ ✱ ✾ ✫ ✺ ✲ ❁ ✰ ❁ ✰ ❍ ❈ ✱ ✿ ✾ ❉ ❅ ✴ ✲ ✽ ❃ ❅ ✶ ✾ ✷ ❃ ✸ ✿ ❄ ❑ ❈ ✰ ✾ ✺ ✸ ✴ ❄ ✥ ✸ ❂ ✻ ✺ ✴ ❉ ✳ ❃ ✸ ❈ ❃ ✸ ✸ ✿ ✻ ✻ ✿ ✮ ✾ ✱ ✴ ❍ ✴ ✸ ❂ ❃ ✸ ✸ ✾ ✿ ✸ ✼ ✦ ✱ ✫ ✲ ❁ ✰ ✧ ✶ ❀ ✼ ✷ ✾ ✯ ✴ ✯ ▲ ❅ ❍ ✱ ✧ ✴ ♥ ✾ ✱ ❋ ❅ ✴ ✴ ✸ ✲ ✵ ✜ ❃ ✸ ✾ ❂ ❃ ✾ ✿ ✰ ✱ ❆ ✼ ✿ ✮ ✼ ✿ ✮ ✧ ✽ ❃ ✸ ✵ ✶ ❁ ✾ ✷ ✿ ❂ ✰ ✴ ✺ ❅ ✱ ✸ ❇ ✵ ✲ ✽ ❁ ✶ ❏ ✸ ✺ ✾ ✰ ✴ ✯ ✸ ✻ ✴ ✾ ✫ ▲ ✯ ✸ ❂ ❍ ✴ ✸ ❖ ✮ ✸ ✱ ✫ ❀ ✸ ❋ ✸ ■ ✦ ✱ ✫ ✲ ❁ ❀ ✿ ❁ ❀ ❁ ✵ ✧ ▲ ✯ ✺ ✼ ✦ ✱ ✧ ❁ ❖ ✱ ✫ ✲ ✢ ✿ ✮ ✮ ✳ ✶ ✲ ✦ ✾ ✱ ❆ ❉ ✴ ✶ ❈ ✶ ❈ ✴ ✾ ❂ ✴ ✾ ✴ ✾ ❆ ✲ ❈ ❃ ✸ ✴ ✸ ✽ ✵ ✶ ❃ ✸ ✸ ✳ ✾ ❃ ✾ ❂ ❂ ❃ ✶ ✾ ❆ ❃ ✽ ✴ ✱ ✾ ✾ ✸ ❅ ✴ ✾ ✷ ✳ ✴ ✾ ✴ ✾ ✲ ✴ ✸ ✾ ✶ ❆ ✴ ✾ ❂ ✸ ❂ ✽ ✶ ✴ ✸ ❆ ✶ ✳ ✴ ✶ ✴ ✽ ✶ ✾ ✷ ✶ ✸ ✴ ❆ ✶ ✾ ✳ ✵ ✴ ✴ ❆ ✶ ✸ ❍ ✱ ✸ ✧ ✲ ✶ ✾ ❍ ❀ ✷ ✱ ✴ ✫ ❅ ✲ ❈ ✴ ✮ ✸ ❘ ✵ ✱ ❅ ✴ ❅ ✴ ❉ ✾ ✲ ❂ ✶ ✸ ✾ ❆ ✴ ✸ ✾ ✶ ✵ ✷ ❂ ✫ ✶ ✾ ❆ ✴ ✳ ✶ ✾ ✵ ✴ ✸ ✯ ✮ ❂ ✲ ✸ ✴ ✥ ✾ ❘ ✿ ❍ ✱ ✸ ❅ ✴ ✾ ✶ ✬ ✸ ❅ ✶ ✾ ❅ ✯ ✮ ❘ ✸ ✱ ✴ ✺ ✾ ✲ ✰ ✳ ✴ ✴ ✾ ❂ ✶ ✾ ■ ✱ ✽ ✶ ❃ ✾ ✾ ✧ ✸ ❈ ❃ ✸ ✲ ✷ ✻ ✷ ✪ ✲ ✧ ✽ ❂ ✴ ✸ ✽ ❅ ✴ ✸ ✽ ✲ ▲ ✴ ✷ ✸ ✲ ✵ ✾ ❅ ❃ ✲ ✷ ✾ ✱ ✸ ❜ ✸ ✫ ✶ ✾ ❀ ✶ ✱ ❈ ✮ ✲ ❏ ✵ ✷ ❆ ✾ ✸ ✿ ✴ ✾ ✯ ✷ ✴ ✾ ✾ ✴ ✶ ● ✮ ✳ ✾ ❅ ✾ ✴ ✾ ✲ ✶ ✱ ✾ ✯ ▲ ❃ ✬ ✲ ✲ ✳ ✫ ✲ ❆ ✮ ✳ ✺ ✳ ✮ ✴ ❉ ✾ ✸ ✾ ✴ ✪ ❈ ✲ ✵ ✧ ✲ ▲ ✱ ❅ ✥ ✻ ❆ ✿ ✾ ■ ✴ € ✾ ❀ ✓ ✩ ✲ ✸ ❆ ❀ ✶ ✸ ✾ ✲ ✾ ✥ ✶ ✸ ❀ ✴ ✻ ✸ ✶ ✿ ✸ ✫ ✷ ✲ ✸ ✰ ✷ ✥ ✷ ✱ ❁ ✾ ✫ ✸ ✾ ✱ ❃ ✸ ✴ ✲ ✾ ✮ ✴ ✱ ✯ ✶ ✼ ✷ ✲ ❂ ● ✴ ✮ ✾ ✴ ✺ ✾ ✾ ✼ ✾ ✧ ✸ ✻ ✲ ✶ ★ ➃ ✲ ✼ ✷ ✵ ✾ ✴ ✾ ✴ ✾ ✽ ✸ ❀ ✗ ✧ ✲ ✶ ✶ ✿ ✬ ✾ ✰ ✳ ✰ ✱ ✾ ✾ ✺ ✳ ✔ ✢ ✾ ✼ ✵ ✥ ✳ ✺ ❈ ✾ ✼ ❀ ❑ ✱ ✮ ❃ ✴ ✴ ❏ ✿ ❆ ✾ ✼ ✸ ❑ ✴ ✺ ✲ ✾ ❀ ✸ ❃ ✼ ❅ ✒ ✦ ✳ ✼ ✴ ❅ ✲ ✥ ✴ ✰ ❈ ✫ ✴ ▲ ❅ ✺ ✾ ❆ ■ ❅ ➂ ❀ ✺ ✾ ✲ ✔ ■ ✾ ✱ ✾ ✫ ✷ ❅ ✰ ✯ ✾ ✱ ✲ ✸ ✴ ▲ ✻ ✸ ✧ ✴ ✔ ❁ ✴ ✱ ✺ ✵ ● ✷ ✦ ✸ ❑ ✳ ✱ ❆ ✷ ✼ ✳ ✾ ✰ ✸ ✫ ✲ ✴ ✴ ✱ ✱ ✶ ❉ ✷ ✮ ❍ ❍ ✸ ❈ ✯ ✿ ✿ ✾ ✱ ✾ ✹ ❅ ❀ ✴ ✿ ❃ ✶ ✺ ✸ ✯ ✷ ✮ ✮ ✴ ❖ ✸ ✳ ❄ ✾ ❖ ✲ ✴ ❀ ✷ ✲ ❅ ✥ ✏ ❀ ✾ ✮ ✎ ✗ ❑ ✱ ✴ ✳ ✒ ✷ ▲ ✦ ✸ ✲ ✛ ✙ ❅ ✮ ✽ ✫ ✒ ✸ ✿ ❅ ✯ ✲ ✱ ✴ ❏ ❈ ■ ✛ ✤ ⑥ ❀ ✱ ✸ ✜ ❈ ✯ ❅ ⑩ ❀ ✰ ✴ ✙ ❈ ✴ ✺ ✢ ✾ ✴ ❷ ✼ ✻ ❄ ④ ✏ ✲ ❂ ✾ ❖ ✜ ❜ ✸ ⑤ ✴ ✺ ❈ ❀ ✶ ✵ ✸ ✱ ✷ ④ ✛ ✼ ✴ ✾ ❀ ✚ ✛ ✤ ✘ ✚ ✎ ✙ ❃ ✸ ✯ ✮ ✻ ❍ ✱ ✬ ✲ ❂ ✲ ✸ ❅ ✴ ✸ ✵ ✶ ✸ ✽ ❃ ✸ ✽ ✶ ✾ ❂ ✴ ✶ ✾ ✳ ✴ ❆ ❃ ✸ ❈ ❃ ➄ ❈ ✴ ✳ ❃ ✸ ❂ ✾ ✷ ✴ ❈ ❅ ❀ ❑ ✯ ✯ ✼ ✺ ✰ ■ ✱ ❚ ✲ ❀ ✼ ✥ ✮ ✼ ✱ ✫ ✴ ✸ ❅ ✶ ✸ ❂ ✴ ✷ ❃ ✸ ✸ ✶ ✳ ✴ ✾ ✷ ✶ ✸ ✸ ✴ ✷ ✶ ✾ ❈ ✴ ✸ ❈ ❃ ✸ ▲ ✿ ❀ ✼ ✺ ● ✺ ✿ ❍ ✱ ✫ ✳ ✴ ✸ ❂ ✶ ✸ ✽ ✴ ✸ ❈ ❀ ✼ ✥ ✼ ✿ ✱ ❋ ✲ ✼ ✿ ❀ ✼ ✺ ❏ ✯ ✰ ✦ ✱ ✧ ✿ ✮ ❀ ❁ ❑ ✯ ✮ ✼ ✱ ✫ ✲ ✸ ✵ ✴ ✵ ✶ ✷ ✾ ✴ ✷ ❃ ✾ ✴ ✳ ✗ ✼ ✿ ❇ ✿ ✱ ✧ ❑ ✯ ✮ ✼ ❀ ✱ ✫ ✲ ✾ ✳ ✴ ❅ ✾ ✶ ✾ ✵ ✴ ✸ ✿ ✴ ✮ ✽ ✿ ❃ ✯ ✸ ✸ ● ✱ ❇ ✫ ✵ ❀ ✼ ✺ ✻ ✻ ✱ ✫ ✺ ✿ ✲ ✸ ✴ ✸ ✴ ✸ ▲ ✺ ✼ ✿ ▲ ✮ ❑ ✽ ✺ ✱ ✴ ▲ ✮ ✯ ✸ ✰ ✧ ❉ ❈ ✲ ❃ ✸ ✴ ✾ ✰ ❘ ■ ✱ ✳ ✫ ✸ ✷ ❃ ✸ ❆ ✲ ✸ ✴ ✾ ✲ ✸ ❈ ✶ ✾ ✾ ✴ ✸ ✯ ✼ ✿ ✱ ✫ ✲ ✷ ✸ ✼ ✮ ❈ ✷ ✲ ❂ ✸ ✱ ✾ ✾ ✴ ✷ ✸ ❇ ✴ ✾ ✲ ✾ ❑ ✾ ✽ ✫ ✲ ✼ ❀ ✱ ✷ ✷ ✽ ❀ ✲ ✾ ❀ ✴ ✾ ❇ ✸ ✮ ✾ ✴ ✸ ✲ ❈ ✳ ✾ ✳ ✲ ✼ ❅ ✴ ✺ ✰ ■ ✱ ❋ ✯ ✺ ❄ ✿ ✯ ❇ ✿ ✮ ✱ ❉ ✲ ✲ ✾ ✸ ✴ ✾ ❆ ✶ ✾ ✾ ✴ ✵ ❃ ✽ ❃ ✸ ✾ ➆ ❀ ❑ ✯ ▲ ✱ ✫ ✲ ✾ ✵ ✴ ✵ ✾ ✸ ✴ ❅ ✶ ✾ ❆ ✴ ✳ ❃ ✸ ✳ ➅ ✾ ✗ ✽ ❑ ✴ ❁ ✼ ✳ ✼ ✗ ✿ ✮ ✱ ✧ ✢ ✣ ✲ ✜ ✙ ❈ ✴ ✷ ✎ ❯ ❃ ✢ ✓ ✑ ✱ ❋ ✲ ✢ ✽ ❃ ✸ ❑ ✺ ✮ ❅ ✴ ✾ ❈ ✶ ✾ ✳ ✴ ✸ ❂ ❀ ✼ ✺ ❖ ❁ ✻ ✥ ✼ ✱ ✫ ✲ ✸ ✷ ✸ ❍ ✺ ✯ ✰ ❀ ✱ ✧ ✲ ✼ ❑ ✴ ✯ ✵ ✦ ❁ ■ ❑ ✱ ✫ ✺ ❄ ✺ ✻ ✦ ✱ ✧ ✲ ✷ ✸ ✴ ❅ ❃ ✸ ✥ ✺ ❇ ✳ ✴ ✸ ✴ ✽ ❃ ✸ ❆ ❀ ✼ ✯ ✮ ✺ ✿ ❀ ✱ ✫ ❑ ✮ ✿ ✿ ❬ ❍ ✿ ✱ ❋ ✲ ✾ ✾ ✴ ✸ ✯ ❁ ✮ ✱ ✫ ✴ ✾ ✽ ■ ✴ ✰ ✾ ✿ ❆ ❃ ❍ ✱ ✾ ❈ ❋ ✶ ✾ ❅ ✴ ❆ ❀ ✼ ✯ ✮ ✲ ✦ ✸ ✱ ✸ ✴ ❆ ❚ ✸ ✲ ✷ ✼ ❃ ✾ ❆ ✶ ✾ ✾ ✴ ✸ ✵ ❃ ✸ ✵ ✴ ✸ ✾ ❃ ✸ ❆ ✶ ✷ ✾ ✴ ✸ ❅ ✸ ❘ ✿ ✻ ✺ ✥ ✱ ✫ ✬ ✲ ✗ ✼ ✿ ✥ ✮ ✵ ✥ ✴ ✻ ✻ ✱ ❜ ✷ ❀ ✴ ✱ ✳ ❚ ❃ ✸ ✲ ✾ ✶ ❅ ✴ ✽ ✶ ✸ ✾ ✴ ✸ ✾ ✶ ✲ ❈ ✸ ✺ ❏ ✿ ❀ ✱ ✾ ✴ ✫ ✴ ✸ ✽ ✶ ❅ ✴ ✾ ✶ ✸ ❂ ✴ ❆ ✲ ❨ ✸ ✾ ✴ ❈ ✶ ✸ ❅ ✴ ✾ ✷ ✸ ❆ ✴ ✾ ❂ ✽ ✶ ✸ ❅ ✴ ✷ ✶ ✳ ✴ ✾ ✳ ❆ ✯ ✮ ❘ ✱ ▼ ✲ ✶ ✵ ✽ ✺ ✼ ✻ ✿ ✱ ✧ ✶ ✴ ✽ ✶ ✴ ✾ ✴ ✸ ❂ ❃ ✾ ✳ ✾ ✾ ❃ ✾ ✷ ✶ ✸ ✵ ✴ ❅ ❃ ✸ ✾ ❃ ✾ ✲ ✸ ✔ ✺ ✲ ✸ ✽ ✼ ✗ ✫ ✴ ❃ ✸ ❈ ✱ ❂ ✵ ✲ ✽ ✺ ✮ ✲ ❅ ✾ ❀ ✫ ✦ ❑ ✔ ✺ ✱ ✲ ✼ ❀ ❍ ✵ ❈ ❈ ✿ ❂ ✾ ✸ ✥ ✸ ▲ ✗ ✿ ✲ ✮ ✥ ✼ ✼ ✯ ✰ ✱ ✫ ✥ ❀ ❑ ✺ ✰ ■ ✼ ✯ ✰ ✱ ❉ ✳ ✶ ✴ ✸ ❂ ✶ ✷ ✾ ✴ ✾ ✷ ✲ ✲ ✸ ✳ ✴ ✸ ❈ ❃ ✾ ✸ ✵ ✴ ✸ ❂ ❃ ✸ ✳ ❃ ✾ ❂ ❃ ✾ ❆ ➇ ✷ ✴ ✳ ✶ ✸ ❆ ✴ ✸ ❆ ❃ ✾ ✷ ✶ ✸ ❈ ✴ ✷ ❃ ✸ ✷ ✴ ✾ ✼ ✯ ■ ✿ ✼ ❑ ✿ ✮ ✱ ❋ ✲ ✔ ✵ ❃ ✸ ❂ ❃ ✸ ❂ ❃ ✸ ✸ ❃ ✸ ❆ ❃ ✸ ✽ ✶ ✗ ✼ ✮ ✿ ✿ ✼ ✱ ✫ ✫ ✲ ✸ ❅ ✴ ✾ ❂ ✶ ✾ ❂ ✴ ✸ ✷ ❃ ✸ ✥ ✦ ✸ ✳ ✴ ✸ ✳ ✶ ❅ ✴ ✸ ❆ ✶ ✸ ✵ ✴ ❂ ✴ ✳ ✶ ✸ ✽ ✴ ✸ ✾ ✶ ✵ ✴ ✷ ❃ ✽ ✶ ✽ ✴ ✸ ✽ ✶ ❅ ✴ ✾ ✴ ✯ ✰ ✿ ✱ ✫ ❆ ❃ ✾ ✸ ✸ ❂ ✴ ❈ ✶ ✸ ✾ ✴ ✳ ✶ ✸ ❆ ✴ ✽ ✶ ✸ ✳ ✴ ❆ ❈ ❈ ✴ ❏ ✺ ✻ ✥ ✮ ✱ ✫ ✲ ✸ ❅ ✴ ✾ ✷ ✶ ✾ ❂ ✴ ❅ ✶ ✾ ❅ ✴ ✾ ❈ ✶ ✸ ❈ ✴ ✷ ❃ ❅ ✶ ✳ ✳ ✴ ✾ ✴ ❅ ❃ ✴ ✽ ✶ ✸ ❆ ✶ ✸ ❅ ✴ ✾ ✶ ✾ ❂ ✴ ✾ ❆ ✶ ✥ ➈ ✺ ✻ ✻ ✺ ✥ ✰ ✱ ✫ ✲ ❈ ✾ ✺ ✶ ✶ ✾ ❀ ✲ ✲ ✸ ✸ ▼ ✶ ✼ ✷ ✫ ✽ ✷ ✾ ✱ ✸ ✾ ✷ ✴ ✾ ❃ ❈ ❃ ✸ ✸ ✶ ✾ ❆ ✴ ❆ ✾ ❃ ✳ ✴ ❅ ✾ ✼ ✯ ✯ ❘ ✱ ❉ ✲ ✽ ❃ ✽ ❃ ✾ ❆ ✶ ✾ ❈ ✴ ✷ ✶ ✾ ✳ ✴ ✸ ✾ ➉ ✾ ✷ ✴ ✾ ✗ ✼ ✮ ✿ ✿ ✼ ❀ ✱ ✫ ✲ ✸ ❅ ✴ ✸ ✸ ❃ ✸ ✾ ✶ ✾ ❆ ✴ ✸ ✾ ✶ ▲ ❀ ✺ ✼ ❁ ✥ ✼ ✺ ✯ ✰ ✱ ✫ ✲ ✸ ❅ ✴ ✿ ✥ ❘ ❈ ✴ ✸ ✳ ✴ ✸ ✾ ✗ ✼ ✮ ✯ ❏ ✱ ✫ ✮ ✥ ✰ ❀ ❄ ✮ ✺ ❖ ✼ ✱ ❉ ✥ ✼ ✺ ✯ ✰ ❀ ✱ ✫ ✲ ✷ ✸ ✴ ✾ ✸ ✸ ✴ ✸ ✸ ❃ ✸ ❈ ✶ ✷ ✾ ✴ ✽ ❃ ✸ ✾ ✿ ✸ ✴ ✽ ❀ ✼ ✮ ❁ ❄ ✼ ❁ ✮ ✿ ✱ ✧ ✲ ✼ ✮ ✺ ✥ ✻ ✱ ✫ ❀ ❑ ✱ ✫ ✲ ✸ ❂ ✴ ✾ ❆ ✶ ✸ ✸ ✴ ✾ ✥ ✼ ✵ ✴ ✾ ✾ ❀ ✼ ✦ ✻ ✿ ✱ ✧ ✴ ✸ ✯ ✰ ✿ ✱ ✫ ✲ ✸ ❂ ✴ ✾ ❈ ✶ ✸ ❅ ✴ ✿ ✿ ✾ ❈ ✮ ❁ ✿ ✱ ✾ ❉ ✴ ✴ ✿ ✸ ✾ ❀ ▲ ❑ ✥ ✼ ✱ ✫ ✲ ❁ ✹ ✉ ✾ ✿ ✾ ❄ ✴ ✾ ✼ ❅ ✶ ✾ ✷ ✴ ✸ ❅ ✶ ✷ ✾ ✴ ✸ ❂ ✰ ❬ ✜ ❬ ✗ ❄ ✮ ✺ ❖ ✼ ❪ ✲ ✫ ❚ ✪ ✱ ✴ ✸ ✷ ✴ ✫ ✲ ✵ ✱ ✫ ✲ ✫ ❜ ✬ ❋ ✽ ✾ ✴ ✱ ✫ ✲ ✱ ✫ ✲ ✫ ✲ ✵ ❑ ✥ ✱ ✫ ✮ ✼ ✯ ✰ ❊ ❀ ✱ ✫ ✲ ✫ ❜ ✬ ❜ ❃ ✲ ✸ ❂ ✮ ❁ ✴ ❈ ✽ ✴ ✵ ✾ ❀ ✼ ✱ ✫ ❑ ✥ ✼ ❊ ❀ ✱ ✫ ✲ ✫ ❜ ★ ❋ ✱ ✲ ✾ ✺ ✫ ❆ ✼ ✚ ✱ ✲ ✸ ▲ ❏ ✮ ❂ ❘ ❂ ✾ ✯ ✸ ✾ ✾ ❀ ✿ ✴ ❂ ✔ ✿ ✳ ✲ ✼ ❏ ❃ ❑ ✳ ✸ ✯ ❈ ✾ ❈ ❀ ✴ ✲ ▲ ✥ ✲ ❂ ✸ ✻ ✧ ✷ ✷ ❀ ✱ ✲ ▲ ❁ ❀ ✲ ✼ ✼ ❀ ✳ ✾ ✺ ✿ ❆ ✾ ❀ ✰ ✓ ✻ ✻ ✿ ✰ ✕ ✮ ✥ ❁ ✿ ✮ ✤ ✯ ❁ ✮ ✼ ✒ ✿ ❖ ✯ ✮ ✼ ✺ ✰ ■ ✤ ✯ ✘ ✷ ❯ ✴ ❯ ❅ ✸ ✤ ❅ ✴ ❆ ✱ ❚ ✲ ❀ ❄ ✮ ✺ ❖ ✼ ❬ ✫ ❜ ★ ❋ Case 2:14-cv-01044-JS-SIL Document 57-2 Filed 09/28/16 Page 41 of 41 PageID #: 486 ✚ ✎ ✏ ✑ ✒ ✓ ✔ ✕ ✒ ✓ ✓ ✏ ✓ ✖ ✗ ✎ ✒ ✢ ✣ ✏ ✗ ✒ ✎ ✚ ✛ ✜ ✏ ✢ ✙ ✣ ✢ ✤ ✜ ✒ ✛ ✤ ✒ ✗ ✓ ✗ ✓ ✘ ✚ ✎ ✙ ✓ ✗ ✛ ✤ ✷ ✴ ✒ ✙ ✛ ✒ ✎ ✢ ✛ ✣ ✥ ✦ ✧ ★ ✩ ✧ ✪ ✫ ✬ ✏ ✽ ➊ ✧ ✱ ✧ ✲ ✾ ✧ ◆ ✧ ✪ ✧ ✪ ✽ ✪ ✴ ✸ ✱ ✸ ✧ ✪ ✧ ✪ ✪ ✧ ✪ ★ ✧ ❜ ✸ ✾ ✸ ✲ ❃ ✸ ✫ ✽ ✶ ✸ ❂ ✴ ✳ ✶ ✸ ✸ ✴ ✸ ✵ ✲ ✵ ✱ ✴ ❋ ✲ ✾ ✫ ✶ ✷ ✾ ✴ ❅ ❃ ✾ ✸ ✲ ✾ ✴ ❅ ✫ ✸ ✴ ✲ ❉ ✱ ✱ ✵ ✷ ❈ ✽ ✷ ✫ ✱ ✸ ✱ ✸ ✲ ✸ ✬ ✸ ✶ ✫ ✴ ✴ ❂ ❂ ❋ ✫ ✲ ✸ ✱ ✧ ❅ ✧ ✸ ✾ ✫ ❋ ❃ ✱ ✴ ✲ ✸ ✱ ★ ✫ ✫ ✾ ❅ ✴ ❅ ✪ ✴ ✬ ✸ ✧ ❅ ❚ ✪ ❈ ✱ ✴ ✪ ✪ ✴ ✵ ❅ ✧ ✾ ❉ ❅ ✲ ✲ ❅ ✸ ✽ ✫ ✴ ✫ ✪ ✪ ❃ ✱ ✷ ✧ ✵ ❜ ✲ ✵ ✴ ✾ ❈ ➋ ❋ ✪ ✱ ✫ ✽ ❋ ✫ ✪ ✫ ✸ ✘ ✷ ❋ ✲ ✴ ❚ ✴ ✪ ✸ ✘ ✷ ❂ ▼ ▼ ✬ ✴ ❜ ✘ ✬ ▼ ❜ ▼ ✱ ✫ ✲ ✪ ✘ ✬ ▼ ❜ ▼ ✱ ✫ ✲ ❂ ✸ ✸ ➌ ❉ ✪ ❀ ✱ ✾ ✫ ✾ ✲ ✴ ❅ ➍ ✬ ✪ ✱ ✫ ✵ ✬ ✧ ❉ ✱ ✴ ➎ ✬ ✼ ✲ ❚ ✴ ✱ ✸ ✱ ✴ ✫ ✲ ✷ ❑ ✵ ✫ ✽ ❊ ❉ ✷ ❍ ✵ ✬ ✸ ✰ ✵ ✬ ✲ ✴ ✫ ✲ ✷ ➏ ▼ ✱ ✫ ✲ ✸ ▼ ★ ✾ ✴ ✱ ✸ ✫ ✸ ✷ ✲ ❂ ✴ ✸ ✸ ➐ ❜ ✚ ✪ ✧ ✺ ✰ ✫ ❬ ✧ ✜ ✱ ❬ ✫ ✗ ✲ ❄ ✮ ✺ ❖ ✼ ❪ ✓ ✻ ✻ ✿ ✰ ✕ ✮ ✥ ❁ ✿ ✮ ✤ ✯ ❁ ✮ ✼ ✒ ✿ ❖ ✯ ✮ ✼ ✺ ✰ ■ ✤ ✯ ✘ ❯ ❯ ✤ ✱ ✬ ✲ ✧ ❬ ❜ ✪ ✧ ✫ ✧