FILED SUPERIOR COURT JOHN SAMBERG (State Bar No. 115262) jsamberg@wrslawyers.com ELSA Bar No. 195689) . WOLF, RIEK-IN, SHAPIRO, SCHULMAN RABKIN, LLP 11400 west Olympic BouleVard, 9th Floor Los Angeles, California 90064-1582 Telephone: (310) 478-4100 Facsimile: (310) 479?1422 Attorneys for Plaintiff INC. tit?13?s? ti 2090? 7??7 SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF SAN JOAQUIN, STOCKTON sma?cv? ?2013? 1660 INC., a Cailfornia Case No. Corporation; COMPLAINT FOR: Plaintiff, 1. BREACH OF ORAL vs. 2. OPEN BOOK 3. MONEY HAD AND TRIPLE CATTLE, LLC, a California 4. ACCOUNT Limited Liability Company; TRIPLE 5. GOODS SOLD AND CALF RANCH, a California Business 6. QUANTUM MERUIT (UNJU ST entity, form unknown; TRIPLE RANCH, a California Business entity, form 7. QUANTUM VALEBAN unknown; TRIPLE CALF RANCH a 8. FRAUD IN THE INDUCEMENT California Business entity, form unknown; 9. INTENTIONAL TRIPLE CALF RANCH, NM, a New Mexico Business entity, form unknown; 10. NEGLIGENT TRIPLE CALF RANCH, WA, a Washington Business entity, form unknown; 11. FORECLOSURE OF DAIRY CATTLE TRIPLE DAIRY, a California general SUPPLY LIEN partnership, registered as aN'ew Mexico general partnership; EDWARD G. Trial Date: None EEDVIIQIIADO G. AD 0 THIS JOS VAL A CA DAVID G. FRANK GARCIA, JUDGE TO AND DOES 1-50, inclusive; HUMPHREYS IN EPAHTMENT 100 FOR ALL PURPOSE: Defendants. TRIAL COMES NOW Plaintiff, INC (?Lawley?s? or ?Plaintiff?), who alleges as follows: BY FAX COMPLAINT Lawley?s is, and at all times material hereto was, a California corporation engaged in the business of manufacturing and distributing animal nutrition, immunizer and related products to the cattle, calf and dairy industry. At all times material hereto Plaintiff was and is a duly licensed and quali?ed to do business in the State of California, and had its principal place of business in the City of Stockton, San Joaquin County. 2. Plaintiff is informed and believes, and based thereon alleges, that at all times material hereto Defendant TRIPLE CATTLE, LLC (?Triple Cattle?) was and is a California limited liability company duly licensed and quali?ed to do business in the State of California, and operated a commercial calf and dairy business with a principal place of business at 63 05 Avenue 1?76, City of Tulare, County of Tulare, California (?the Main Location?). Plaintiff is further informed and believes, and based thereon alleges, that at all times material hereto Triple Cattle had numerous related calf and dairy business operations in other locations in California, New Mexico and Washington State, and utilized various similar name?styles and business forms as set forth below. As set forth in detail below, at all times material hereto Triple Cattle was a commercial customer of Plaintiff. 3. Plaintiff is informed and believes, and based thereon alleges, that at all times material hereto Defendant TRIPLE CALF RANCH (?Triple Calf?) was and is a dba, related, or alter ego business operation of Triple Cattle, and was and is a business entity in a form presently unknown to Lawley's, and was doing business in, among other locations, the Main Location. At all times material hereto Triple Calf was directly or derivatively a commercial customer of Plaintiff. 4. Plaintiff is informed and believes, and based thereon alleges, that at all times material hereto Defendant TRIPLE CALF RANCH, #1 (?Triple Calf was and is a dba, related, or alter ego business operation of Triple Cattle, and was and is a business entity in a fonn presently unknown to Lawley?s, and was doing business in, among other locations, 18185 Drive, City of Tulare, County of Tulare, California. At all times material hereto Triple Calf 1 was directly or derivatively a commercial customer of Plaintiff. s21.- COMPLAINT 5. Plaintiff is informed and believes, and based thereon alleges, that at all times material hereto Defendant TRIPLE CALF RANCH, #2 (?Triple Calf was and is a dba, related, or alter ego business operation of Triple Cattle, and was and is a business entity in a form presently unknown to Lawley?s, and was doing business in, among other locations, 6305 Avenue 176, City of Tulare, County of Tulare, California . At all times material hereto Triple Calf 2 was directly or derivatively a commercial customer of Plaintiff. 6. Plaintiff is informed and believes, and based thereon alleges, that at all times material hereto Defendant TRIPLE CALF RANCH, NM, (?Triple Calf was and is a dba, related, or alter ego business Operation of Triple Cattle, and was and is a business entity in a form presently unknown to Lawley?s, and was doing business in, among other locations, 187 South Roosevelt Road X, City of Po'rtales, County of Roosevelt, New Mexico. At all times material hereto Triple Calf NM was directly or derivatively a commercial customer of Plaintiff. 7. Plaintiff is informed and believes, and based thereon alleges, that at all times material hereto Defendant TRIPLE CALF RANCH, WA (?Triple Calf was and is a dba, related, or alter ego business operation of Triple Cattle, and was and is a business entity in a form presently unknown to Lawley?s, and was doing business in, among other locations, 161909 West Lemley Road, City of Prosser, County of Benton, Washington. At all times material hereto Triple Can WA was directly or derivatively a commercial customer of Plaintiff. 8. Plaintiff is informed and believes, and based thereon alleges, that at all times material hereto Defendant TRIPLE DAIRY (?Triple Dairy) was and is a dba, related, or alter ego business operation of Triple Cattle, and was and is a duly registered California general partnership organized and existing under the laws of the County of Tulare, State of California, with of?ces at 6305 Avenue 176, City of Tulare, County of Tulare, California and 18185 Drive, City of Tulare, County of Tulare, California. Plaintiff is further informed and believes, and based thereon alleges, that at all times material hereto Triple Dairy is and was also registered as a general partnership in the State of New Mexico. At all times material hereto Triple Dairy was directly or derivatively a commercial customer of Plaintiff. 293?- COMPLAINT Unless separately stated, Triple Cattle, Triple Calf, Triple Calf 1, Triple Calf 2, Triple Calf NM, Triple Calf WA and Triple Dairy are hereafter collectively referred to as ?Triple 10. Without limitation to other and further proof, Plaintiff is informed and believes, and based thereon alleges, that at all times material hereto, Triple Cattle, Triple Calf, Triple Calf 1, Triple Calf 2, Triple Calf NM, Triple Calf WA and Triple Dairy shared common locations, assets, liabilities, accounts payable, accounts receivable, customers, vendors, ownership, management, control, and banking relationships; and further, were under-capitalized, failed to follow or respect corporate or LLC formalities and business separateness, and utilized the assets of each other interchangeably, such that together with other facts and circumstances, establish that Triple was and is a single business enterprise, and that each of the separately identi?ed entities were mere shells and shams, and the alter egos of the others, and as such each of the entities were legally and equitably liable for the debts, obligations and liabilities of the others, including without limitation, Triple V?s debts and obligations to Plaintiff. 11. Plainti? is informed and believes, and based thereon alleges, that at all times material hereto Defendant EDWARD G. VALADAO, aka EDWARDO G. VALADAO (?Edward?) is and was an individual residing and/or doing business in Tulare County, California Plaintiff is further informed and believes that at all times material hereto Edward is and was a duly registered general partner of Triple Dairy. 12. Plaintiff is informed and believes, and based thereon alleges, that at all times material hereto Defendant JOSE DIMAS VALADAO (?Jose?) is and was an individual residing andlor doing business in Tulare County, California. Plaintiff is further informed and believes that at all times material hereto Jose is and was a duly registered general partner of Triple Dairy. 13. Plaintiff is informed and believes, and based thereon alleges, that at all times material hereto Defendant DAVID G. VALADAO (?David?) is and was an individual residing andfor doing business in Tulare County, California. Plaintiff is further informed and believes that -4- COMPLAINT at all times material hereto David is and was a duly registered general partner of Triple Dairy.1 14. Unless separately stated, Edward, Jose and David are hereafter collectively referred to as ?the General Partners?. Without limitation to other and further proof, Plaintiff is informed and believes, and based thereon alleges, that at all times material hereto, as general partners of Triple Dairy, Edward, Jose and David are and were general partners of some or all of the Triple entities, that together with other facts and circumstances, establish that the General Partners were and are legally and equitably liable for the debts, obligations and liabilities of not only Triple Dairy, but each and all of the Triple entities, including without limitation Triple V?s debts, obligations and liabilities to Plaintiff. 15. Plaintiff is informed and believes, and based thereon alleges, that at all times material hereto Defendant, FRANK GARCLA, (?Garcia?) is and was an individual residing and/or employed in the County of Tulare, and is and was of public record a Member of Triple Cattle, and is and was the Responsible Managing Of?cer of Triple Cattle and its various dbas, related entities, and alter ego business operations referred to herein collectively as Triple V, including without limitation Triple Dairy. 16. As set forth in detail below, and without limitation to other and further proof, Plaintiff is informed and believes, and based thereon alleges, that at all times material hereto, while acting as RMO, Garcia engaged in improper activity that rendered him legally and equitably liable for the debts, obligations and liabilities of not only Triple Cattle, but each and all of the . Triple entities, including without limitation Triple V?s debts, obligations and liabilities to Plaintiff. 17. Defendants DOES 1 through 50 are sued herein under said ?ctitious names. Their true names and capacities are presently unknown to Plaintiff. When their true names and capacities are ascertained, Plaintiff will amend this Complaint by inserting their true names and capacities herein. The Doc Defendants are named in each cause of action so as to allow any such 1 Due to the numerous parties with identical family surnames, Plaintiff refers to individuals by their given names for the sake of clarity of pleading. No disrespect is intended. -5- COWLAINT later designation as applicable to any particular cause(s) of action. 18. Plaintiff is informed and believes, and based thereon alleges, that at all times material hereto, each Defendant is and was the agent, servant, authorized representative, alter ego and/or employee of each Co-Defendant, and that in doing the things and acts herein alleged, each Defendant was acting within the course and scope of that agency, servitude, representation, alter ego relationship andfor employment and further, that each Defendant has rati?ed and/or endorsed the acts of each remaining Co?Defendant. 19. Without limitation to other and further proof, Plaintiff is further informed and believes that at all times material hereto, some or all of the Doe Defendants 1 through 40, inclusive and each of them, as well as Defendants Triple Cattle, Triple Calf, Triple Calf 1, Triple Calf 2, Triple Calf NM, Triple Calf, WA, and Triple Dairy, are and were under- capitalized, failed to maintain, honor or observe corporate or LLC formalities and legal separateness, shared common locations, assets, liabilities, accounts payable, accounts receivable, customers, vendors, ownership, management, control, and banking relationships; and further, utilized the assets of each other interchangeablyz, and that together with other facts and circumstances, renders the stated Doe Defendants a mere shell and the alter-ego of the other Defendants, so as to render those Doe Defendants liable for the debts of each of the Defendants, including without limitation, Triple V?s debts, obligations and liabilities to Plaintiff. 20. Without limitation to other and further proof, Plaintiff is further informed and believes that at all times material hereto, some or all of the Doc Defendants 41 through 45, inclusive and each of them, are and were general partners of some or all of the Triple entities, that together with other facts and circumstances, establish that said Doe Defendants are legally and equitably liable for the debts, obligations and liabilities of not only Triple Dairy, but each and all of the Triple entities, including without limitation, Triple V?s debts, obligations and liabilities to Plaintiff. 2 Although Plaintiff?s billing invoices were directed to ?Triple Calf?, payments were made by ?Triple Dairy?. True and correct copies of exemplar payment checks are attached hereto as Exhibit and are incorporated herein at this place by this reference as though set forth in -6- COMPLAINT v1. .. .. 4114310 set forth in detail below, and without limitation to other and further proof, Plaintiff is informed and believes, and based thereon alleges, that at all times material hereto, some or all of the Doe Defendants 46 through 50, inclusive and each of them, while acting as an RMO of Triple V, engaged in improper activity that rendered them legally and equitably liable for the debts, obligations and liabilities of not only Triple Cattle, but each and all of the Triple entities, including without limitation Triple V?s debts, obligations and liabilities to Plaintiff. 22. Reference to ?Defendants? herein shall mean, collectively, Triple V, the General Partners, and Does 1 through 50, inclusive, unless otherwise stated herein. Plaintiff is informed and believes, and based thereon alleges, that each of the Defendants is responsible in some manner for the occurrences herein alleged, and that Plaintiff?s damages as herein alleged were proximately caused by their conduct. 23. The acts, events, contracts and/or breaches of contract herein alleged occurred in the within jurisdiction, or suf?cient grounds exist to vest this Court with subject matter, and personal jurisdiction. 24. This action is not subject to the provisions of California Civil Code, Sections 1812.10, et seq., California Civil Code, Sections 2984.4, et seq., or California Code of Civil Procedure, Sections 395(6), et seq. BACKGROUND INFORMATION 25. Plaintiff refers to and incorporates, as though fully set forth herein, Paragraphs 1 through 24 above. 26. The following background information provides essential context for this case. Three family names, Valadao, Souza, and Garcia, pervade this diSpute, as do the company names of Western Milling and West Tulare Ag Holdings. 27. m. Plaintiff is informed and believes, and based thereon alleges, that the name style pre?x ?Triple that appears in the numerous business names stated above refers to various Valadao family members that operate a long-standing family calf and dairy business in the California Central Valley. Plaintiff is presently unaware of the full and complete family history, but is informed and believes, and based thereon alleges, that there are other presently unknown .7- COMPLAINT Valadao family members that may be involved in the Triple entities in addition to Edward, Jose and David, and may include Dimas Valadao (?Dimas?), who is presently a third party to this action. 28. Plaintiff is informed and believes, and based thereon alleges, that Edward and David are brothers; and further, that their ?rst cousin is one Lisa Valadao Garcia who is the daughter of Dimas. 29. Plaintiff is informed and believes, and based thereon alleges, that Lisa is also the wife of Defendant Garcia, and is also the Of?ce Manager of Triple V. 30. Sonia, weate'rn Milling} Holdings. Plaintiff is informed and believes, and based thereon alleges, that the Main Location where Triple maintains its principal place of business was formerly owned and operated by one third party to this action Alvin Souza (?Alvin?) as Alvin Souza Dairy Calf Ranch (?Souza Dairy?), business form unknown. In the early 2010?s Alvin and Souza Dairy suffered ?nancial hardship and ?led for Chapter 11 bankruptcy protection (?the Souza bankruptcy?). 31. Plaintiff is informed and believes, and based thereon alleges, that one of the main creditors of Alvin and Souza Dairy was third party to this action Western Milling, LLC (?Western Milling? a California limited liability company. Western Milling is an enormous agribusiness headquartered in the California Central Valley. One of Western Milling?s divisions is in the business of manufacturing and distributing animal nutrition products to the calf and dairy industry, and is a direct competitor or Plaintiff. 32. Plaintiff is informed and believes, and based thereon alleges, that at all times material hereto Triple was a commercial customer of Western Milling; and was a commercial customer of Western Milling immediately preceding, and during the time period that Triple was a conunercial customer of Plaintiff. 33. Plaintiff is informed and believes, and based thereon alleges, that in addition to his membership in Triple V, Garcia is also the Chief Financial Of?cer of Western Milling; and if not the CFO, holds similar high executive status with Western Milling. 34. Plaintiff is informed and believes, and based thereon alleges, that in or about 2015, -3- COMPLAINT . as part of a ?nancial restructuring transaction arising out of the Souza bankruptcy, Alvin and Souza Dairy conveyed title to the Main Location land, buildings and other related appurtenances to third party to this action West Tulare Ag Holdings, LLC (?West Tulare a California limited liability company, which is the present owner of the Main Location. Plaintiff is further informed and believes that West Tulare Ag is a related business entity to Western Milling, with common ownership, management and primary business location. 35. Plaintiff is informed and believes, and based thereon alleges, that at times material hereto, Triple is and was the commercial tenant of West Tulare Ag at the Main Location. Plaintiff is ?nther informed and believes, and based thereon alleges, that based upon his dual role of CFO of Western Milling and member of Triple V, Garcia was in the unique position of having intimate and complete knowledge of the ?nancial condition of Triple V, as well as full knowledge of the particulars of the business, commercial and landlordftenant relationship between Triple on the one hand, and Western Milling and West Tulare Ag on the other hand. 36. Gianna. Plaintiff is informed and believes, and based thereon alleges, that Garcia and his father, third party to this action Frank Rocha Garcia (?Garcia, at a time prior to the Souza bankruptcy, operated a now defunct calf and dairy business active in the California Central Valley under the name style Double Cattle (?Double business form unknown. 37. Plaintiff is informed and believes, and based thereon alleges, that when Double went out of business Garcia went to work for Alvin and Souza Dairy, and during his tenure met third party to this action Sean Souza Plaintiff is informed and believes, and based thereon alleges, that during the intervening years from when Garcia ?rst went to work for Souza, Garcia and Sean became well acquainted, and that Sean considered Garcia to be a close friend. 38. Commencing on or about March 14, 2017 Sean became employed as a sales representative for Plaintiff. Based upon his friendship with Garcia, Sean then approached Garcia with the goal of making Triple a Lawley?s commercial customer. Garcia was amenable to Triple becoming a Lawley?s commercial customer, and on or about March 21, 2017 Plaintiff made its ?rst shipment to Triple V. -9- COMPLAINT 39. Thereafter, on or about July 19, 2017 Sean, together with a senior of?cer of Lawley?s, met with Garcia and presented him with a Lawley?s Credit Application setting out the terms and conditions of the agreement pursuant to which Plaintiff would provide product to the Defendants (?Credit Application?). A true and correct copy of the form Credit Application presented to Garcia is attached hereto as Exhibit and is incorporated herein at this place by this reference as though set forth in ?ll. 40.? Based upon orders from Garcia for product, reassurances that the Credit Application would be ?lled out, signed and returned to Lawley?s, and Sean?s ?iendship with Garcia, Lawley?s continued shipping ever increasing amounts of product to Triple V. However, Garcia never ?lled out, signed and returned the Credit Application. Throughout the rest of 2017 and into early 2018 Sean continued to ask Garcia to ?ll out, sign and return the Credit Application. Garcia continually promised and reassured Sean that he would ?ll out, sign and return the Credit Application, but Garcia never did so. To this date, Garcia has never ?lled out, signed and returned the Credit Application. . UN DISCLOSED FINANCIAL TROUBLES 41. Plaintiff refers to and incorporates, as though set forth herein, Paragraphs 1 through 40 above. 42. Throughout the rest of July, 2017 and into early 2018, notwithstanding Garcia?s failure to ?ll out, sign and return the Credit Application, Triple placed orders with Plaintiff for animal nutrition products. Based upon Garcia?s reassurances that he would ?ll out, sign and return the Credit Application, as well as Sean?s familiarity and resulting trust of Garcia, Plaintiff ful?lled the orders placed by Triple V. 43. While the orders were initially fairly modest, commencing in or about September, 2017 and into early 2018, the orders got larger and larger, and also requested delivery of product to various Triple locations in California, New Mexico and Washington State. Plaintiff ?lled the orders, but to date has yet to be paid for each of the orders. Nearly all of the orders placed by Triple were placed by Garcia. ?1 COMPLAINT \qummth-d 44. Presently the Defendants owe Plaintiff in excess of $1,000,000.00, as more fully detailed below. The bulk of the present debt owed by the Defendants results from orders placed in and after September, 2017. 45. Plaintiff is informed and believes, and based thereon alleges, that during the time period from July 2017 through early 2018 Triple was in fact in serious ?nancial trouble, and among other problems, and without limitation to other and further proof, was in default on various loans with third party to this action, Rabobank, N.A. (?Rabobank?). 46. Plaintiff has since learned that Rabobank had sued Triple and others for the referenced loan defaults on November 13, 2017, seeking monetary judgment and other relief for loan delinquencies well in excess of $10,000,000.00. The Complaint was ?led by Rabobank in the Fresno Superior Court, case number 17CECG03 829 (?the Rabobank Complaint?). The Rabobank Complaint recites a date of default on the obligations due as September 30, 2017. 47. At no time during the time period from July 2017 through early 2018 did any of the Defendants, including without limitation Triple V, Does 46 through 50, inclusive and each of them, and in particular Garcia, disclose to Plainti? the foregoing facts and circumstances regarding the dire ?nancial circumstances of Triple V. Had Plaintiff been informed of Triple V?s dire ?nancial circumstances it would not have shipped product to Triple V. 48. Plaintiff is informed and believes, and based thereon alleges, that based upon Garcia?s dual role of CFO of Western Milling and member of Triple V, be was in the unique position of having intimate and complete knowledge of the dire ?nancial circumstances of Triple V, as well as full knowledge of the particulars of the business, commercial and landlord/tenant relationship between Triple on the one hand, and Western Milling and West Tulare Ag on the other hand. Notwithstanding the foregoing, Garcia ordered product from Plaintiff without disclosing Triple V?s ?nancial circumstances. By placing orders with Plaintiff, Triple V, and in particular Garcia, impliedly represented that Triple was not in dire ?nancial circumstances, and was able to pay for the products ordered, notwithstanding the fact that the polar opposite was true. I I -11- COMPLAINT FIRST CAUSE OF ACTION (For Breach of Oral Contract - Against All Defendants and Each of Them) 49. Plaintiff refers to and incorporates, as though fully set forth herein, Paragraphs 1 through 48 above. 50. On or about March 21, 2017 Plaintiff entered into an oral contract with Defendants and Does 1 through 50 inclusive, and each of them, to provide nutritional animal products and related materials to Defendants, (?the Oral Contract?). 51. Pursuant to the Oral Contract, and at the request of said Defendants, Plaintiff delivered nutrition, immunizer and related materials, goods and services, to said Defendants at their Tulare County location, and other various locations. Attached hereto collectively as Exhibit and incorporated herein at this place by this reference as though set forth in ?Jll, are true and correct copies of invoices evidencing the dates of order, and the places of delivery, of the products delivered by Plaintiff to Defendants. 52. Without limitation to other and further proof, the terms and conditions of the Oral Contract are set forth in Exhibits and 53. Plaintiff timely invoiced said Defendants for the referenced nutrition, immunizer and related materials. Although demand therefor has been made, said Defendants refused and continue to refuse to pay Plaintiff for said nutrition, immunizer and related materials, and the principal sum of $1,022,454.14 is still due and owing for the referenced nutrition, immunizer and related materials. 54. In addition to the invoices attached as Exhibit without limitation to other and further proof, attached hereto as Exhibit and incorporated herein at this place by this reference as though set forth in full, is a true and correct c0py of a summary invoice setting forth the total principal amount of indebtedness currently due, and as stated above in the amount of $1,022,454.14. 55. Plaintiff has performed all other conditions, covenants, and promises under the Oral Contract, on its part to be performed. -12.. COMPLAINT mammamuagzasaazaszs 56. Based on the foregoing, the total debt presently owed to Plaintiff by said Defendants is $1,022,454.14. 5 7. Defendants have failed to pay said sum within two (2) years of the date of the commencement of this action, and said failure to pay constitutes a breach of the Oral Contract. As a result of such breach of the Oral Contract, Plaintiff has been damaged in the principal sum of $1,022,454.14, plus interest, costs, and additional damages according to proof at trial. SECOND CAUSE OF. ACTION (Open Book-Account - Against All Defendants and Each of Them) 58. Plaintiff refers to and incorporates, as though fully set forth herein, Paragraphs 1 through 57 above. 59. Within four (4) years prior to the commencement of this action at Stockton, California, Defendants, and each of them, became indebted to Plaintiff on an open book account in the sum of $1,022,454.14. 60. Without limitation to other and further proof, attached hereto as Exhibits and and incorporated herein at this place by this reference as though set forth in ?ill, are true and correct copies of the invoices and other documents evidencing this debt. 61. No part of the delinquent debt has! been paid by said Defendants, although demand therefor has been made by Plaintiff, and there is now due, owing and unpaid from said Defendants to Plaintiff the sum of $1,022,454.14 plus interest, costs, reasonable attorney?s fees and additional damages according to proof at trial. THIRD CAUSE OF ACTION (Money Had and Received Against All Defendants and Each of Them) 62.. Plaintiff refers to and incorporates, as though ?illy set forth herein, Paragraphs 1 above. 63. Within four (4) years prior to the commencement of this action at Stockton, California, Defendants, and each of them, became indebted to Plaintiff for money had and received by said Defendants for the use and benefit of Plaintiff, in the sum of $1,022,454.14 plus interest. -13- COMPLAINT 64. Without limitation to other and further proof, attached hereto as Exhibits and and incorporated herein at this place by this reference as though set forth in full, are true and correct copies of the invoices and other documents evidencing this debt. 65. No part of the delinquent debt has been paid by said Defendants, although demand therefor has been made by Plaintiff, and there is now due, owing and unpaid from said Defendants to Plaintiff the sum of $1,022,454. 14 plus interest, costs, and additional damages according to proof at trial. FOURTH CAUSE OF ACTION (Account Stated Against All Defendants and Each of Them) 66. Plaintiff refers to and incorporates, as though fully set forth herein, Paragraphs 1 through 65 above. 67. Within four (4) years prior to the commencement of this action at Stockton, California, an account was stated in writing by and between Plaintiff and Defendants wherein it was agreed that the Defendants, and each of them, were indebted to Plaintiff in the sum of $1,022,454.14 plus interest. 68. Without limitation to other and further proof, attached hereto as Exhibits and and incorporated herein at this place by this reference as though set forth in full, are true and correct copies of the invoices and other documents evidencing this debt. 69. No part of the delinquent debt has been paid by said Defendants, although demand therefor has been made by Plaintiff, and there is now due, owing and unpaid from said Defendants to Plaintiff the sum of $1,022,454.14 plus interest, costs, and additional damages according to proof at trial. FIFTH CAUSE OF ACTION (Goods Sold and Delivered Against All Defendants and Each of Them) 70. Plaintiff refers to and incorporates, as though fully set forth herein, Paragraphs 1 through 69 above. 71. As set forth above, within four (4) years prior to the commencement of this action, Defendants placed with Plaintiff numerous orders for goods and related services. -14- COMPLAINT pal encourage-mm 72. Plaintiff provided to Defendants the goods and related services as requested as set forth above. 73. The reasonable value of the goods and services provided to Defendants by Plaintiff is 1 ,022,454. 14. 74. No part of the delinquent debt has been paid by said Defendants, although demand therefor has been made by Plaintiff, and there is now due, owing and unpaid from said Defendants to Plaintiff the sum of$1,022,454. 14 plus interest, costs, and additional damages according to proof at trial. SIXTH CAUSE OF ACTION (Quantum Meruit Unjust Enrichment Against All Defendants and Each of Them) 75. Plaintiff refers to and incorporates, as though fully set forth herein, Paragraphs 1 through 74 above. 76. As set forth above, Plaintiff has performed valuable services, provided valuable goods and incurred considerable expenses for the bene?t, and at the request of Defendants, and each of them, who received considerable value therefore, and who have bene?ted there?'om, particularly, and without limitation to other and further proof, the delivery of valuable goods and services at Defendants? Speci?c requests. 77. Without limitation to other and further proof, attached hereto as Exhibits and and incorporated herein at this place by this reference as though set forth in full, are true and correct copies of the invoices and other documents which establish the reasonable value of these services, goods and expenses. 78. Notwithstanding demand for payment therefor, said Defendants have refused, and continue to refuse, to compensate Plaintiff for those services, goods and expenses. Based upon these facts and circumstances, and without limitation to other and further proof, it would be inequitable and unjust for said Defendants to have received the bene?t and value of the referenced services, goods and expenses without compensating Plaintiff. 79. As a direct and proximate result of the acts of said Defendants and each of them as set forth above, Plaintiff has been damaged in the amount which represents the reasonable value of . -15- COMPLAINT 28' the subject services, goods and expenses, according to proof at the time of trial, but not less than $1 ,022,454.14, plus interest and other damages as is equitable and just. SEVENTH CAUSE OF ACTION (Quantum Valebant Against All Defendants and Each of Them) 80. Plaintiff refers to and incorporates, as though fully set forth herein, Paragraphs 1 through 79 above. 81. As set forth above, within the last two years, at the speci?c request of Defendants, Plaintiff sold and delivered to Defendants, and each of them, certain animal nutrition, immunizer and related goods, the reasonable value of which Defendants then and there agreed to pay Plaintiff. 82. At the time of sale and delivery of that certain animal nutrition, immunizer and related goods, the reasonable value of goods was $1,022,454.14. 83. Notwithstanding demand for payment therefor, said Defendants have refused, and continue to refuse, to compensate Plaintiff for those services, goods and expenses, and there remains due and owing to Plaintiff, $1,022,454.14, together with interest thereon at the maximum rate allowed by law. EIGHTH CAUSE OF ACTION (Fraud in the Inducement Against Defendants Garcia, Triple V, and Does 46 Through 50, Inclusive, and Each of Them) 84. Plaintiff refers to and incorporates, as though fully set forth herein, Paragraphs 1 through 83 above. 85. As stated above, commencing on or about March 14, 2017 Sean became employed as a sales representative for Plaintiff. Based upon his friendship with Garcia, Sean then approached Garcia with the goal of making Triple a Lawley?s commercial customer. Garcia was amenable to Triple becoming a Lawley?s commercial customer. On March 21, 2017 Plaintiff made its ?rst shipment of product to Triple V. Initial orders were nominal, and were paid for. IN ?1 6- COMPLAINT U86. Thereafter, on or about July 19, 2017 as the orders for product started to increase Sean, together with a senior officer of Lawley?s, met with Garcia and presented him with the Lawley?s Credit Application setting out the terms and conditions of the agreement pursuant to which Plaintiff would continue to provide product to the Defendants. 87. Based upon orders from Garcia for product, reassurances that the Credit Application would be ?lled out, signed and returned to Lawley?s, and Sean?s ??iendship with Garcia, Lawley?s continued shipping ever increasing amount of product to Triple V. However, Garcia never filled out, signed and returned the Credit Application. 88. Commencing in or about September, 2017 and into early 2018, the orders got larger and larger, and also requested delivery of product to various Triple locations in California, New Mexico and Washington State. Nearly all of the orders placed by Triple were placed by Frank Garcia. 89. Plaintiff is informed and believes, and based thereon alleges, that during the time period from July 2017 through early 2018 Triple was in fact in serious ?nancial trouble, and among other problems, and without limitation to other and further proof, was in default on various loans with third party to this action, Rabobank. 90. As stated above, Plaintiff has since learned that Rabobank had sued Triple and others for the referenced loan defaults on November 13, 2017, seeking monetary judgment and other relief for loan delinquencies well in excess of $10,000,000.00. The Rabobank Complaint in fact recites a date of default on the monies owed as of September 30, 2017. 91. At no time during the time period from July 2017 through early 2018 did any of the Defendants, including without limitation Triple V, Does 46 through 50, inclusive and each of them, and in particular Garcia, disclose to Plaintiff the foregoing facts and circumstances regarding the dire ?nancial circumstances of Triple V. Had Plaintiff been informed of Triple V?s dire ?nancial circumstance-sit would not have continued to ship product to Triple V. 92. Plaintiff is informed and believes, and based thereon alleges, that based upon Garcia?s dual role of CFO of Western Milling and member of Triple V, he was in the unique position of having intimate and complete knowledge of the dire ?nancial circumstances of Triple 1 7- COMPLAINT (.11.well as full knowledge of the particulars of the business, commercial and landlord/tenant relationship between Triple on the one hand, and Western Milling and West Tulare Ag on the other hand. I 93. Notwithstanding the foregoing, Garcia ordered product from Plaintiff without disclosing Triple V?s ?nancial circumstances. By placing orders with Plaintiff, said Defendants, and in particular Garcia, impliedly represented that Triple was not in dire ?nancial circumstances, and was able to pay for the products ordered, notwithstanding the fact that the polar opposite was true. 94. The material misrepresentations by omission set forth above (impliedly representing that Triple was not in dire ?nancial circumstances, and was able to pay for the products ordered) were material to Plaintiff?s decision to continue to ship product to said Defendants. 95. Plaintiff relied on such misrepresentations, and shipped the product ordered by said Defendants. Plaintiff?s reliance on such misrepresentations was reasonable, particularly given that at all times material hereto, Garcia was a member, and the RMO, of Triple V. Had Plaintiff known such representations were false, it would not have continued to ship the products as stated above. 96. Plaintiff is informed and believes, and based thereon alleges, that in making the misrepresentations and omissions as stated above, Garcia?s conduct was also made on behalf of, and binding upon, Triple and the other stated Defendants. 97. As a direct and proximate result of the acts and omissions of the stated Defendants, Plaintiff has been damaged in the principal sum of $1,022,454.14, plus interest, reasonable attorney?s fees, costs, and additional damages according to proof at trial. 98. Plaintiff is informed and believes, and based thereon alleges, that the acts and omissions of the stated Defendants were malicious and done with a conscious disregard for the rights of Plaintiff. Plaintiff is therefore entitled to exemplary and punitive damages against the stated Defendants in an amount according to proof at the time of trial. -1 3.. COMPLAINT mummemmwowgsamz$sza NINTH CAUSE OF ACTION (Intentional Misrepresentation? Against Defendants Garcia, Triple V, and Does 46 Through 50, Inclusive, and Each of Them)) 99. Plaintiff refers to and incorporates, as though fully set forth herein, Paragraphs 1 through 98 above. 100. Plaintiff is informed and believes, and based thereon alleges, that by intentionally omitting the true facts and circumstances of Triple V?s ?nancial situation at the time of ordering product from Plaintiff, Defendants Triple V, Does 46 through 50, inclusive and each of them, and in particular Garcia, said Defendants implicdly represented that Triple was not in dire ?nancial circumstances, and was able to pay for the products ordered, notwithstanding the fact that the polar opposite was true. 101. Plaintiff is informed and believes, and based thereon alleges, that at the time such representations were made, such representations were false, and that the true facts were that Triple was in dire ?nancial circumstances, and was not able to pay for the products ordered. 102. Plaintiff is informed and believes, and based thereon alleges, that said Defendants knew each time that the representations were false; and further, that said Defendants made such representations recklessly and without regard for their truth. 103. Plaintiff is informed and believes, and based thereon alleges, that said Defendants intended that Plaintiff rely on the representations each time the representations were made. 104. The material misrepresentations by omission set forth above (impliedly representing that Triple was not in dire ?nancial circumstances, and was able to pay for the products ordered) were material to Plaintiff decision to continue to ship product to said Defendants upon each order being placed. 105. Plaintiff relied on such misrepresentations, and shipped the product ordered by said Defendants. Plaintiff?s reliance on such misrepresentations was reasonable, particularly given that at all times material hereto, Garcia was a member, and the RMO, of Triple V. Further, Plaintiff?s reliance on the misrepresentations was a substantial factor in causing Plaintiffs harm. -1 9- COMPLAINT 106. Plaintiff is informed and believes, and based thereon alleges, that in making the misrepresentations and omissions as stated above, Garcia?s conduct was also made on behalf of, and binding upon, Triple and the other stated Defendants. 107. As a direct and proximate result of the acts and omissions of the stated Defendants, Plaintiff has been damaged in the principal sum of $1,022,454.14, plus interest, reasonable attomey?s fees, costs, and additional damages according to proof at trial. 108. Plaintiff is informed and believes, and based thereon alleges, that the acts and omissions of the stated Defendants were malicious, and done with a conscious disregard for the rights of Plaintiff. Plaintiff is therefore entitled to exemplary and punitive damages against the stated Defendants in an amount according to proof at the time of trial. TENTH CAUSE OF ACTION (Negligent Misrepresentation? Against Defendants Garcia, Triple V, and Does 46 Through 50, Inclusive, and Each of Them)) 109. Plaintiff refers to and incorporates, as though fully set forth herein, Paragraphs 1 through 108 above. 110. Plaintiff is informed and believes, and based thereon alleges, that by omitting the true facts and circumstances of Triple V?s ?nancial situation at the time of ordering product from Plaintiff, Defendants Triple V, Does 46 through 50, inclusive and each of them, and in particular Garcia, said Defendants impliedly represented that Triple was not in dire ?nancial circumstances, and was able to pay for the products ordered, notwithstanding the fact that the polar opposite was true. 111. Plaintiff is informed and believes, and based thereon alleges, that although said Defendants may have honestly believed that the representation were true, at the time such representations were made, said Defendants had no reasonable grounds for believing the representations were true when they made them. 112. Plaintiff is informed and believes, and based thereon alleges, that the true facts were that Triple was in dire ?nancial circumstances, and was not able to pay for the products ordered. -20- COMPLAINT 113. Plaintiff is informed and believes, and based thereon alleges, that said Defendants made such representations without regard for their truth. 114. Plaintiff is informed and believes, and based thereon alleges, that said Defendants intended that Plaintiff rely on the representations each time the representations were made. 115. The material misrepresentations by omission set forth above (impliedly representing that Triple was not in dire ?nancial circumstances, and was able to pay for the products ordered) were material to Plaintiff?s decision to continue to ship product to said Defendants upon each order being placed. 116. Plaintiff relied on such misrepresentations, and shipped the product ordered by said Defendants. Plaintiff?s reliance on such misrepresentations was reasonable, particularly given that at all times material hereto, Garcia was a member, and the RMO, of Triple V. Further, Plaintiff?s reliance on the misrepresentations was a substantial factor in causing Plaintiff harm. 117. Plaintiff is informed and believes, and based thereon alleges, that in making the misrepresentations and emissions as stated above, Garcia?s conduct was also made on behalf of, and binding upon, Triple and the other stated Defendants. 118. As a direct and proximate result of the acts and omissions of the stated Defendants, Plaintiff has been damaged in the principal sum of $1,022,454.14, plus interest, reasonable attorney?s fees, costs, and additional damages according to proof at trial. 119. Plaintiff is informed and believes, and based thereon alleges, that the acts and omissions of the stated Defendants were reckless, and done with a conscious disregard for the rights of Plaintiff. Plaintiff is therefore entitled to exemplary and punitive damages against the stated Defendants in an amount according to proof at the time of trial. ELEVENTH CAUSE OF ACTION (Foreclosure of Dairy Cattle Supply Lien (Food and Agriculture Code ??57401 et seq.) - Against Defendants and Each of Them) 120. Plaintiff refers to and incorporates, as though fully set forth herein, Paragraphs 1 through 119 above. I I -21- COMPLAINT 121. Triple V?s obligations to Plaintiff are secured by dairy cattle supply liens on the funds derived from the sale of milk or milk products which are payable to Triple (?the collateral? or ?the Proceeds?), pursuant to California Food and Agriculture Code, ??57401 et seq. (?the Supply Lien?). Attached hereto as Exhibit incorporated herein at this place by this reference as though set forth in ?Jll, are true and correct copies of the documents evidencing the Supply Lien. Pursuant to the foregoing, the principal sum of $796,898.03 is secured by Proceeds. 122. As set forth above, Defendants are in default on their debt to Plaintiff, and by virtue of the Supply Lien Plaintiff is presently entitled to the immediate possession of the Proceeds. 123. Plaintiff requests that the Court issue an Order adjudging Plaintiff to be entitled to the immediate possession of the Proceeds, that the amount of the Proceeds recovered be credited against the amount of Defendants? debt to Plaintiff (less taxes, offsets, hauling and any and all other offsets provided by statute); and further, requiring Defendants, and any third parties in possession of the Proceeds, to immediately turn over the Proceeds to Plaintiff, and for all other relief provided by statute, including without limitation, reasonable attorney?s fees and costs. WHEREFORE, Plaintiff prays for judgment against Defendants as pleaded, and each of them as follows: ON THE FIRST CAUSE OF ACTION AGAINST THE STATED DEFENDANT-S 1. For the principal sum of $1,022,454.14, plus interest; For additional general damages according to proof; For consequential damages according to proof; For special damages according to proof; and For the costs of suit herein. ON THE SECOND CAUSEOF ACT-ION AGAINST THE STATED DEFENDANTS 1. For the principal sum of $1,022,454.14, plus interest; For additional general damages according to proof; 2 3. For consequential damages according to proof; 4. For special damages according to proof; 5 For the costs of suit herein; and .22- COMPLAINT mummemmHowg?aaggs:g 6. For reasonable attorney?s fees according to proof. ON THE THIRD STATED DEFENDANTS 1. For the principal sum of $1,022,454.14, plus interest; 2 For additional general damages according to proof; 3. For consequential damages according to proof; 4 For special damages according to proof; and. For the costs of suit herein. - ON THE FOURTHCAUSE-OF ACTION AGAINST THESTATED DEFENDANTS 1. For the principal sum of $1,022,454.14, plus interest; 2 For additional general damages according to proof; 3. For consequential damages according to proof; 4 For Special damages according to proof; and, For the costs of suit herein. ON THE FIFTH CAUSE OF ACTION AGAINST THE STATED DEFENDANTS 1. For the principal sum of $1,022,454.14, plus interest; 2 For additional general damages according to proof; 3. For consequential damages according to proof; 4 For special damages according to proof; and, For the costs of suit herein. ON THE SIXTH CAUSE OF-ACTION 1. For the principal sum which represents the reasonable value of the goods and material delivered to said Defendants for which they have benefited, but for which Plaintiff has not been paid, in the amount of $1,022,454.14, or such amount according to proof, plus interest; 2. For additional general damages according to proof; For consequential damages according to proof; For special damages according to proof; and For the costs of suit herein. 5" -23- COMPLAINT n! \Dco-qcxm-Iz-THE SEVENTH CAUSE OF ACTION 1. For the value of the goods in the amount of $1,022,454.14, or such amount according to proof, plus interest; 2. 3. 4. 5. For additional general damages according to proof; For consequential damages according to proof; For special damages according to proof; and, For the costs of suit herein. ON THE EIGHTH ACTION AGAINST THE STATED 1. 2 3 4. 5 6 For the principal sum of $1,022,454.14, plus interest; For additional general damages according to proof; For consequential damages according to proof; For special damages according to proof; For the costs of suit herein; and, For exemplary and punitive damages according to proof. ON THE NINTH CAUSE OF ACTION AGAINST THE STATED DEFENDANTS- 1. 93"?er For the principal sum of $1,022,454.14, plus interest; For additional general damages according to proof; For consequential damages according to proof; For special damages according to proof; For the costs of suit herein; and For exemplary and punitive damages according to proof. ON THE-TENTH CAUSE OF ACTION AGAINST THE STATEDDEFENDANTS 1. 2. 3. For the principal sum of $1,022,454.14, plus interest; For additional general damages according to proof; For consequential damages according to proof; For special damages according to proof; For the costs of suit herein; and. For exemplary and punitive damages according to proof. -24- COMPLAINT wsgasmccommzauzccza ON THE ELEVENTH CAUSE OF ACTION AGAINST THE. STATED DEFENDANTS. For an Order providing: 1. That without limitation to other rights, Plaintiff is entitled to secured creditor status in the sum of $796,898.03, which is secured by the Proceeds; 2. For immediate possession of the Proceeds; 3. That the amount of the Proceeds recovered be credited against the amount of Defendants? debt to Plaintiff (less taxes, offsets, hauling and any and all other offsets provided by statute); 4. That Defendants, and any third parties in possession of the Proceeds, immediately turn over the Proceeds to Plaintiff; and, 5. For reasonable attorney?s fees and costs, per statute. 6. For all other relief provided by statute. ON ALL CAUSES OF ACTION 1. For such other and further legal, equitable, statutory andfor other relief as the Court deems just and proper Dated: February 8, 2018 WOLF, RIFKIN, SHAPIRO, SCHULMAN RABKIN, LLP 4bhn Samberg Elsa Horowitz Attorneys for Plaintiff INC. -2 5- COMPLAINT EXHIBIT 1 X231? 31447 -. - - 0" DATE I Stockton, CA 95213 9/27/2017 54657 BILL TO SHIP TO Triple Cali Ranch Triple Ranch I 6305 Ave 176 18185 South 1 Dr Tulare, CA 93274 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 Jose tulare QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 120 20/20 AM 20/20 AM 43.50 5,220.00 Thank you! Lawley's values your business. Total $5,220.00 Lawleys Inc Invo1ce P.O. Box 31447 Stockton, CA 95213 DATE 9/17/1017 54863 BILL To SHIP TO Triple cm Ranch Triple cm Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare. CA 93274 no. NUMBER TERMS REP SHIP VIA F.O.B. sean Net 30 8 9/27/2017 Jose QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 10,854 Siitings Siitings _o.12 1,302.48 Deliver 9/27 . 0 Thank you. Lawley values your business. Total $1,302.48 rm Lawleys Inc I mm 1 .Jr 325:3: 3231:435213 DATE INVOICE - 9/28/2017 54912 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.0.B. scan Net 30 5 9/27/2017 QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 800 20/20 AM . 20/20 AM 43.50 34,800.00 wed 9/27 . Thank you Lawley values your usiness Total $34,800.00 Lawleys Inc. Invoice PO. Box 31447 TE INV Stockton CA 95213 . 1 9/28/2017 54912 BILL TO SHIP TO Triple Cali Ranch Triple Calf Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 932.74 Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.0.B. Net so 88 9/28/2017 QUANTITY ITEM CODE - DESCRIPTION UIM PRISE _Invoice Balance iron: Old QB File 34,800.00 34,800.00 ?Sales Tax-City oiSt'ockton 9.00% 0.00 Total $34,800.00 Lawleys [no Inv01 ce P.O. Box 31447 DATE INVOIC Stockton, CA 95213 9/29/2017 51980 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch NM 6305 Ave 176 Portales, NM Tulane, CA 93274 RE). NUMBER TERMS REP SHIP VIA F.0.B. Net 30 GD Gary me! QUANTITY ITEM CODE EACH AMOUNT .. (33st Cali Ranch Special-2.5 152.00 304.00 Thank you! hivley's values your business. Total $304.00 Lawleys Inc I mm 1 3; 13.0. Box 31447 DA Stockton, CA 95213 TE 10/3/2017 52760 SHIP TO Triple Cali Ranch Triple Cali Ranch NM 6305 Ave 176 Portales, NM Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 GD 10/3/2017 Don me! ITEM cons DESCRIPTION PRIEE EACH AMOUNT 120 22/18 AM 22/18 AM 45.00 5,400.00 5 lmmunizer 44 lbs. Bags 205.00 1,025.00 I . Thank you. Lawley 3 values your business Total $6,425.00 Lawleys Inc Invo1ce PD. Box 31447 DATE Stockton, CA 95213 10/3/2017 54661 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 8 Jose tulare QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 100 22/18 AM 22/ 18 AM 43.50 0,900.00 80 Gold Gold Medal 50# Bag 53.00 4,240.00 . Thank you! Lawley values your usiness Total 511.200.?. Inc I 1 . Stockton CA 95213 - . 10/4/2017 54005 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch #2 6305 Ave 170 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 8 Jose Tulare ITEM CODE DESCRIPHON PRICE EACH AMOUNT 200 22/ 18 AM 22/18 AM 43.50 8,700.00 0 Thank you. Lawley 8 values your business Total $8,700.00 Invoice Inc -. pig?mi PO. Box 31447 NVOICE 3&4? Stockton, CA 95213 AT I .. . . 10/6/2017 54669 BILL TO SHIP TO Triple Calf Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 932.74 Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 Jose "an. tulare QUANTITY- ITEM CODE DESCRIPTION PRICE EACH AMOUNT 80 22/18 AM 22/ 18 AM 43.50 3,480.00 Thank you! Lawley's values your business. Total $3,480.00 Lawleys [no Inv01 ce 0. Box 31447 DATE INVOICE Stockton, CA 95213 10/9/2017 51992 BILL TO SHIP TO Triple Cali Ranch Triple Calf Ranch NM 6305 Ave 176 Portales, NM Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 GB 10/9/1017 Gary mel QUANTITY ?g ITEM CODE DESCRIPTION PRICE EACH AMOUNT 8 011st Cal! Ranch Special-25 152.00 1,216.00 I . Thank you. lawley values your busmess Total 61.216430 Lawleys Inc. I I1 V0 1 O. Box 31447 DATE INVO Stockton CA 95213 '0 10/9/2017 51991- BILL TO SHIP TO Triple Calf Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 SS 10/9/2017 QUANTITY 3"3- ITEM CODE I DESCRIPTION . UIM PRICE EACH AMOUNT Invoice Balance from Old QB File 1,216.00 1,216.00 Sales Tax-City of Stockton 9.00% 0.00 Total stale-on Lawleys Inc Invo1ce P..O 1447 ox 3 -- ii,? Stockton, CA 95213 DATE INVOICE 10/ 9/ 2017 54673 BILL TO SHIP TO Triple Cali Ranch Triple Ranch 1 6305 Ave 176 18185 South I Dr Tulare, CA 93274 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 Jose tulare QUANTITY ITEM CODE DESCRIPTION #Rlc'E EACH AMOUNT 200 20/20 AM 20/20 AM 43.50 8,700.00 Thank you! Lawley's values your business. Total $8,700.00 Lawleys Inc Invoice a; P0. Box 31447 .. . r' Stockton, CA 95213 AT 10/9/2017 54072 BILL TO SHIP TO Triple Cali Ranch Triple Ranch 1 6305 Ave 176 18185 South I Dr Tuiare, CA 93274 Tulare, CA 93.274 P.0. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 Jose tulare QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 240 22/18 AM 22/ 18 AM With Top Cali 43.50 10,440.00 Thank on! Lawle 's values our business. If 3' Total $10,440.00 Lawleys Inc Invoice - P. 0. Box 31447 - DAT INVO Stockton, CA 95213 .. 10/10/2017 52784 BILL TO SHIP TO Triple Cali Ranch Triple Calf Ranch NM 6305 Ave 176 Pol-tales, NM Tulare, CA 93174 PO. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 GB 10/ 10/2017 Don mel QUANTITY ITEM CODE I DESCRIPTION PRICE EACH AMOUNT . 80 22/18 AM 22/18 AM 45.00 3,000.00 2 Iminunizer 44 ?is. Bags 205.00 410.00 2 . Thank you Lawley values your bus ness Total 641010-00 I Lawleys Inc I nV01 P.0. Box 31447 Stockton, CA 95213 ATE 10/11/2017 54679 BILL TO SHIP TO Triple Calf Ranch Triple Cal! Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 10/11/2017 Jose tulare QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 160 22/18 AM 22/18 AM 43.50 6,960.00 Thank on! Lawle '3 values our business. 3 Total $6,960.00 Invo1ce ., ?7ij PD. Box 31447 DATE [we] CE Stockton, CA 95213 10/11/2017 54077 BILL To SHIP TO Triple Cali Ranch Triple Calf Ranch #2 6305 Ave 176 0305 Ave 170 Tulare, CA 93274 Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 10/11/2017 Jose tulare QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 240 22/18 AM 22/ 18 AM 43.50 10,440.00 40 lm'muinizer 44 lbs. Bags 200.00 8,000.00 1 0 Thank you. Lawley values your business Total $18,440.00 Lawleys Inc Finance Charge P.O. Box 31447 Stockton, CA 95213 DATE 10/11/2017 FC 1464 BILL TO Triple Calf Ranch 6305 Ave 176 Tulare, CA 93274 TERMS DESCRIPTION AMOUNT Finance Charges on Overdue Balance 4,498.53 Invoice #53645, for 32,860.00 on 07/ 1 1/2017 Invoice #53648 for 4,920.00 on 07/11/2017 Invoice #53803 for 7,772.78 on 07/14/2017 Invoice #53864 for 3,320.00 on 07/24/2017 Invoice #53865ji'or 9,960.00 on 07/24/2017 Invoice #53 874 for 8,300.00 on 08/03/2017 Invoice #53887 for 32,800.00 on 08/04/2017 Invoice #53896 for 9,960.00 on 08/10/2017 Invoice #54365 for 5,220.00 on 08/15/2017 Invoice #543 69 for 10,440.00 on 08/ 16/2017 Invoice #53542 for 609.00 on 08/ 17/2017 Invoice #543 82 for 8,700.00 on 08/21/2017 Invoice #54035 for 2,855.00 on 08/26/2017 Invoice #54521 for 5,220.00 on 08/29/2017 Invoice #53556 for 848.00 on 08/30/2017 Invoice #54161 for 3,200.00 on 08/31/2017 Invoice #54524 for 5,220.00 on 09/01/2017 Invoice #54482 for 1,000.00 on 09/01/2017 Invoice #54486 for 1,060.00 on 09/05/2017 Invoice #54485 for 6,960.00 on 09/05/2017 Invoice #54488 for 4,540.00 on 09/06/2017 Invoice #54170 for 2,845.00 on 09/06/2017 Invoice #54489 for 10,440.00 on 09/07/2017 Invoice #54490 for 1,060.00 on 09/07/2017 Invoice #54493 for 3,480.00 on 09/08/2017 Invoice #54491 for 5,220.00 on 09/08/2017 Invoice #54576 for 34,800.00 on 09/13/2017 Invoice #54550 for 8,700.00 on 09/18/2017 Total $4,498.53 Lawleys Inc I mm 1 1447 ._,24dgg4Stockton, CA 95213 - - 10/12/2017 54680 BILL TO SHIP TO Triple Cali Ranch Triple Calf Ranch #2 6305 Ave 1.76 6305 Ave 176 Tulare, CA 932.74 Tulare, CA 93274 PO. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 10/12/2017 Rick tulare QUANTITY . ITEM CODE DESCRIPTION PRICE EACH AMOUNT 500 20/20 AM 20/20 AM 43.50 24,300.00 Thank you! Lawley values your business. Total $24,360.00 KW. [no Invo1 ce ?514? P. O. Box 31447 Stockton, CA 95213 DATE 10/10/2017 51997 BILL TO SHIP To Triple Calf Ranch Triple Cali Ranch NM 0305 Ave 170 Portaies, NM Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 10/ 16/2017 Gary maltose QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 4 Immunizer 44 lbs. Bags 205.00 820.00 I 0 Thank you. Lawiey values your business Total $820.00 Inv01ce "if 3 13.0. Box 31447 Stockton, CA 95213 DATE .- 10/17/2017 52799 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch NM 0305 Ave 176 Portales, NM Tulare, CA 93274 Re. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 GD 10/ 17/ 2017 Don me! QUANTITHQ ITEM CODE DESCRIPTION PRICE EACH AMOUNT 120 22/13 AM 22/18 AM 45.00 5,400.00 9 Thank you. Lawley 8 values your business. Total $5400.00 . Lawleys Inc I nvo 1 PD. Box 31447 . Stockton, CA 95213 DATE 10/17/2017 54689 BILL To SHIP TO Triple Cali Ranch Triple Calf Ranch #2 6305' Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP F.O.B. Net 30 Jose Tulare ITEM CODE PRICE EACH AMOUNT 440 22/ 18 AM 22/18 AM 43.50 19,140.00 40 Gold Gold Medal 5011 Bag 53.00 2,120.00 Thank you! Lawley 5 values your business. Total 60.00 Lawleys Inc I P.O. Box 31447 Stockton, CA 95213 DATE 10/19/2017 54696 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 10/19/2017 Sean tulare QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 2.40 22/18 AM 12/ 18 AM 43.50 10,440.00 Thank you! Lawley values your business. Total $10,440.00 Lawleys Inc PO. Box 31447 Stockton, CA 95213 Invoice DATE INVOICE 10/19/2017 54694 BILL TO SHIP TO Triple Cali Ranch Triple Ranch 1 6305 Ave 170 18185 South I Dr Tulare, CA 932.74 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 8 Jose tulare QUANTITY - ITEM CODE DESCRIPTION PRICE EACH AMOUNT 240 22/18 AM 21/18 AM top calf 43.50 10,440.00 2 - Thank you Lawley values your usiness Total $10,440.00 r1? ,3 . Lawleys Inc Ce P. 0. Box 31447 f? If?? Stockton, CA 95213 DATE - 10/19/2017 54054 BILL To SHIP TO Triple Cali Ranch Triple Calf Ranch NM 6305 Ave 176 Portales, NM Tulare, CA 93274 PO. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 GD 10/ 19/2017 Gary me! QUANTITY ITEMCQDE DESCRIPTION PRICE EACH AMOUNT 8 Calf Ranch Special-2.5 152.00 1,216.00 0 I Thank you. Lawley values your business Total $1,216.00 Inc P.O. Box 31447 Stockton, CA 95213 Invoice DATE INVOICE 10/23/2017 54700 BILL TO SHIP TO Triple Cali Ranch Triple Ranch 1 6305 Ave 176 18185 South 1 Dr Tulare, CA 93274 Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 8 Jose Tulare QUANTITY -. ITEM CODE DESCRIPTION PRICE EACH AMOUNT 205 20/20 AM 20/20 AM 43.50 8,917.50 Thank you! Lawley's values your business. Total $8,917.50 r'x Lawleys Inc Invo1 ce 1,513 P.O. Box 31447 Stockton, CA 95213 DATE INVOICE 10/23/2017 55052 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93.274 Tulare, CA 93174 P.0. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 Jose tulare QUANTITY . ITEM CODE DESCRIPTION PRICE EACH AMOUNT 34 66ch Gold Medal sos Bag 53.00 1,802.00 0 Thank you. Lawley 5 values your busmess. Total $1302.00 Inv01 ce P. 0. Box 31447 - Stockton, CA 95213 DATE . 10/23/2017 54841 BILL TO SHIP To Triple Calf Ranch Triple Cali Ranch 6305 Ave 176 WA Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 KS Ken id QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 10 lmmunizer 44 lbs. Bags 200.00 2,000.00 I . Thank you. Lawley values your business Total $2,000.00 Lawleys Inc P.O. Box 31447 Stockton, CA 95213 Invoice DATE INVOICE 10/24/2017 52818 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch NM 6305 Ave 176 Portales, NM Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 GD Don me] QUANTITY ITEM CODE PRICE EACH AMOUNT 80 22/18 AM 22/18 AM 45.00 3,000.00 4 Inimunizer 44 lbs. Bags 205.00 . 820.00 Thank 0n! Lawle '5 values our business. 3? 3? Total $4.420-oo Lawleys Inc Ge -. PO. Box 31447 Stockton, CA 95213 DATE 10/24/2017 55054 BILL To SHIP TO Triple Cali Ranch Triple Calf Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 Jose tulare ITEM CODE DESCRIPTION PRICE EACH AMOUNT 480 20/20 AM 2.0/20 AM 43.50 20,880.00 Th La . ank you! wley va ues your uslness Total $20,880.00 Lawleys Inc I mm 1 .. 51?: gm! P.0. Box 31447 DATE INVOICE 5443' Stockton, CA 95213 . r. . 10/26/2017 54069 BILL To SHIP TO Triple Cali Ranch Triple Cali Ranch NM 6305 Ave 176 Portales, NM Tulare, CA 932.74 P.0. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 GD Gary mel QUANTITY "j ITEM com: DESCRIPTION PRICE EACH AMOUEIT 4 First Aid 25 First Aid 25:: 150.00 600.00 2 (:11st Cali Ranch Special-25 152.00 304.00 Thank 0n! Lawle '5 values our business. I Total sm-oo Lawleys Inc Inv01ce P.0. Box 31447 I Stockton, CA 95213 DATE 0 10/26/2017 55059 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 931.74 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 Jose tulare ITEM CODE DESCRIPTION PRICE EACH 120 20/20 AM 20/20 AM 43.50 5,220.00 0 . Thank you. lawley 3 values your business Total $5,220.00 Invoice LawIcys Inc P.0 Box 31447 DATE INVO CE Stockton, CA 95213 . 10/20/2017 55057 BILL TO SHIP TO Triple Cali Ranch Triple Calf Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 Jose tulare QUANTITY -ITEM CODE DESCRIPTION PRICE EACH AMOUNT 240 20/20 AM 20/20 AM 43.50 10,440.00 40 Gold Gold Medal 50# Bag 53.00 1,120.00 Thank you! Lawley values your business. Total $11.5 60.00 Invoice Lawleys Inc P.O. Box 31447 Stockton, CA 95213 DATE 10/27/2017 55012 BILL TO SHIP To Triple Cali Ranch Triple Cal! Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.O.B. scan Net 30 10/17/1017 Jose QUANTITY ITEM CODE DESCRIPTION PRICE AMOUNT 200 24/18 All 24/18 AM With Top Cali 43.50 8,700.00 Deliver 10/27 Th 0 3 Law] values our business. an ey 1' Total $8,700.00 Invoice Lawleys Inc P.0. Box 31447 DATE INVO Stockton, CA 95213 10/30/2017 55159 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch 6305 Ave 176 6305 Ave 176 Tulare, CA 932.74 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 10/30/2017 Jose QUANTITY .5 ITEM CODE DESCRIPTION PRICE EACH AMOUNT 240 24/18 24/18 AM w/ Top calf 46.115 11,100.00 10/30/17 Thank you! Lawley 5 values your busmess. Total $11,100.00 Lawleys Inc I mm 1 ce P.0. Box 31447 INVOIC Stockton, CA 95213 AT 10/30/2017 55063 BILL TO SHIP TO Triple Cali Ranch Triple Ranch 1 6305 Ave 170 18185 South I Dr Tulare, CA 93274 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA Net 30 10/30/2017 0se tulare QUANTITY I ITEM CODE DESCRIPTION PRICE EACH AMOUNT 240 22/ 18 AM 22/18 AM With top Calf 43.50 10,440.00 Th 1: on! Lawle valu our business. an 3! V's 9? 3' Total $10,440.00 Lawleys Inc P.O. Box 31447 Stockton, CA 95213 Invoice DATE INVOICE 10/30/2017 55068 BILL TO SHIP TO Triple Calf Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 NUMBER TERMS REP SHIP VIA F.0.B. Net 30 10/30/2017 Jose tulare QUANTITY I DESCRIPTION PRICE EACH AMOUNT 80 Gold Gold Medal 5043 Bag 53.00 4,240.00 160 20/20 AM 20/20 AM 43.50 6,060.00 Thank you! Lawley's values your business. Total $11,200.00 Lawleys Inc Invoice DATE 10/31/2017 55103 BILL TO SHIP TO Triple Calf Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 10/31/2017 Jose QUANTITY ITEM CODE DESCRIPTION I I PRICE EACH AMOUNT 240 24/18 24/18 AM w/ Top Cali 46.2.5 11,100.00 10/31 . Thank you! Lawley 5 values your usiness Total $11,100.00 Invoice Inc .. P.O. Box 31447 DATE Stockton, CA 95213 10/31/2017 52838 BILL TO SHIP TO Triple Cali Ranch Triple Calf Ranch NM 6305 Ave 176 Portales, NM Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 GD 10/31/2017 Don me! QUANTITY ITEM CODE -. PRICE EACH AMOUNT so 22/18 AM 22/18 AM 45.00 3,000.00 2 lmhiunizer 44 lbs. Bags 205.00 410.00 ll?h nk on! Law! 8 value our business. a ey? 3? Total $4,010.00 Lawleys Inc P.0. Box 31447 Stockton, CA 95213 Invoice DATE INVOICE 11/1/1017 54093 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch NM 0305 Ave 170 Portales, NM Tulare, CA 93174 P.0. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 11/1/1017 Gary me! QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 2 HP Iii-Potency Vita-Med 50:? Bags 135.00 270.00 1 Micro Shield :51: 90.00 90.00 Thank you! Lawley's values your business. Total $366.00 Lawleys Inc Invoice 155' P- 0 Box 31447 DATE Stockton, CA 95213 -- 11/1/2017 55009 BILL TO SHIP To Triple Calf Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 932.74 P.0. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 Jose Stockton QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 480 20/20 AM 20/20 AM 43.50 20,880.00 Thank you! Lawley 3 values your business. Total $20,880.00 Invoice Lawleys Inc PO. Box 31447 DATE INVOICE Stockton, CA 95213 11/2/2017 55017 BILL TO SHIP TO Triple Calf Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. seam Net 30 11/15/2017 Jose QUANTITY ITEM CODE DESCRIPTION PRICE-EACH AMOUNT 240 24/18 All 24/18 AM Top Calf Superior 46.25 11,100.00 bag Deliver 11/2 Thank you! Lawley values your business. Total $11,100.00 Inc QIn?mdtp-? .. J16 P. 0. Box 31447 Stockton, CA 95213 (A. Invoice DATE INVOICE 11/2/2017 55071 BILL To SHIP TO Triple Calf Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 PO. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 Jose tulare QUANTITYJL ITEM CODE DESCRIPTION PRICE EACH AMOUNT 240 20/20 AM 20/20 AM 43.50 10,440.00 Thank you! Lawley?s values your business. Total $10,440.00 Invoice Lawleys Inc P.O Box 31447 DATE INVOICE Stockton, CA 95213 11/6/2017 55078 BILL TO SHIP TO Triple Cali Ranch Triple Calf Ranch 6305 Ave 176 WA Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 KS wa QUANTITY 3' ITEM CODE DESCRIPTION PRICE EACH AMOUNT 12 lmmunizer 44 lbs. Bags 200.00 2,400.00 0 . Thank you. Lawley values your business Total $2,400.00 Lawleys Inc Invoice 09,4] {is P.0. Box 31447 Stockton, CA 95213 DATE - . 11/6/2017 55070 BILL TO SHIP TO Triple Calf Ranch Triple Ranch 1 0305 Ave 170 18185 South 1 Dr Tulare, CA 932.74 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 11/6/2017 Jose tulare QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 2.00 20/20 AM 20/20 AM 43.50 8,700.00 Thank on! Lawle 's values our business. I 3' Total $8,700.00 Invoice Lawleys Inc P.0. Box 31447 DATE Stockton, CA 95213 11/6/2017 55077 BILL TO SHIP TO Triple Calf Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 8 11/6/2017 Jose tulare QUANTITY ITEM cob; PRICE EACH mdum 2.00 20/20 AM 20/20 AM 43.50 8,700.00 40 Gold Gold Medal 50# Bag 53.00 2,120.00 0 . Thank you. Lawley values your busmess Total $10,820.00 Lawleys Inc I 1 PO. Box 31447 INV Stockton, CA 95213 DATE 0'05 11/7/2017 54082 BILL TO SHIP TO Triple Cali Ranch Triple Calf Ranch NM 6305 Ave 176 Portales, NM Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 GB 11/7/2017 Gary me! QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 4 Immunizer 44 lbs. Bags 205.00 820.00 Thank you! Lawley's values your business. Total $820.00 Lawleys Inc CE I 331447 . - jf??f - - 0" DATE @323 Stockton, CA 95213 - 11/7/2017 54759 BILL TO SHIP TO Triple Cali Ranch triple Calf Ranch 0305 Ave 170 WA Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 KS Ken wa QUANTITY-5 ITEM CODE DESCRIPTION PRICE EACH AMOUNT 0 lmmunizer 44 lbs. Bags 100.00 1,200.00 Thank you! Lawley 8 values your business. Total $1,200.00 Invoice Lawleys Inc PO. Box 31447 Stockton, CA 95213 DATE 11/7/2017 55182. BILL TO SHIP TO Triple Cali Ranch Triple Cal! Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 932.74 Tulare, CA 932.74 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 11/7/2017 Jose QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 240 24/18 24/18 AM w/ Top Calf (superior 46.25 11,100.00 bag) Tues 11/7 . Thank you! Lawley values your uslness Total $11,100.00 Invoice Lawleys Inc 3% P.O. Box 31447 DATE I v0 Stockton, CA 95213 ICE 11/8/2017 55082 BILL To SHIP TO Triple Cali Ranch Triple Calf Ranch #2 03.05 Ave 170 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 PC. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 8 Jose tulare QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 240 20/20 AM 20/20 AM 43.50 10,440.00 I a Thank you. Lawley values your business Total 510440.00 Invoice Lawleys Inc P.0. Box 31447 DATE Stockton, CA 95213 11/8/2017 55183 BILL TO SHIP TO Triple Calf Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93174 Tulare, CA 932.74 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 11/8/2017 Jose QUANTITY ITEM CODE DESCRIPTION PRICE EAICH AMOUNT 240 24/ 18 All 24/18 AM w/ Top Cali (superior 46.25 11,100.00 bag) Wed 11/8 0 . Thank you. Lawley values your business Total $11,100.00 Lawlc 5 Inc . 3? Finance Charge 13.0.1301; 31447 Stockton, CA 95213 DATE 111812017 FC 1435 BILL TO Triple Calf Ranch 6305 Ave 176 Tuiare, CA 93274 TERMS um: :4 1 DESCRIPTION 1 11111001111? Finance Charges on Overdue Balance 3,464.31 Invoice #53874 for 8,300.00 on 0810312017 Invoice #53887 for 32,800.00 on 0810412017 Invoice #53 896 for 9,960.00 on 0811012017 Invoice #54382 for 8,700.00 on 0812112017 Invoice #54455 for 38,280.00 on 0812412017 Invoice #54387 for 10,440.00 on 0812412017 Invoice #54388 for 6,960.00 on 0812512017 Invoice #54035 for 2,855.00 on 0812612017 Invoice #54521 for 5,220.00 on 0812912017 1 Invoice #54515 for 5,220.00 on 0813012017 Invoice #53556 for 848.00 on 0813012017 Invoice #54516 for 9,700.00 on 0813112017 Invoice #54161 for 3,200.00 on 0813112017 Invoice #54524 for 5,220.00 on 0910112017 Invoice #54482 for 1,000.00 on 0910112017 Invoice #48431 for 410.00 on 0910112017 Invoice #54486 for 1,060.00 on 0910512017 Invoice #54485 for 6,960.00 on 0910512017 Invoice #54488 for 4,540.00 on 0910612017 Invoice #54170 for 2,845.00 on 0910612017 Invoice #54489 for 10,440.00 on 0910712017 invoice #54490 for 1,060.00 on 0910712017 Invoice #54493 for 3,480.00 on 0910812017 Invoice #54491 for 5,220.00 on 0910812017 Invoice #48432 for 550.00 on 0910812017 Invoice #54188 for 1,950.00 on 0911112017 Invoice #54576 for 34,800.00 on 0911312017 Invoice #53577 for 3,480.00 on 0911412017 Invoice #54577 for 6,960.00 on 0911412017 Invoice #48458 for 1,800.00 on 0911512017 invoice #51968 for 630.00 on 0911812017 Invoice #48433 for 525.00 on 0911812017 Invoice #54550 for 8,700.00 on 0911812017 Invoice #53588 for 10,440.00 on 0911912017 Invoice #54597 for 1,600.20 on 0911912017 Total Page 1 Lawle 5 Inc - . . 5? Finance Charge PO. Box 31447 Stockton, CA 95213 DATE 1U8f2017 FC 1485 BILL T0 Triple Calf Ranch 6305 Ave 176 Tulare, CA 93274 TERMS um: DESCRIPTION . Nahum Imoicc 1464 for 4,498.53 on 10/111201? Total 33,454.31 Page 2 LawIeys Inc ce P.0. Box 31447 Stockton, CA 95213 DATE 11/ 9/ 2017 52867 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch NM 6305 Ave 176 Portales, NM Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 GD Don mel QUANTITY ITEM DESCRIPTION PRICE EACH AMOUNT 40 22/18 AM 22/18 AM 45.00 1,800.00 Thank you! Iawley's values your business. Total $1,800.00 Lawleys Inc Invo1ce P.0. Box 31447 Stockton, CA 95213 DATE 11/9/2017 55103 SHIP TO Triple Calf Ranch Triple Calf Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 932.74 Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 Jose tulare ITEM CODE PRICE EACH AMOUNT 240 20/20 AM 10/20 AM 43.50 10,440.00 Th 3 La 10 lues our business. an you 3 8 Total $10,440.00 {it-\I I fa? .. Lawleys Inc ce P.0. Box 31447 4 Stockton, CA 95213 DATE 11/10/2017 55105 BILL TO SHIP TO Triple Cali Ranch Triple Ranch 1 6305 Ave 176 18185 South I Dr Tulare, CA 93274 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 11/ 10/2017 Tony tulare QUANTITY: ITEM CODE DESCRIPTION PRICE EACH AMOUNT 40 24/18 All 24/18 AM 46.25 1,850.00 Thank you! Lawley's values your business. Total $1,850.00 Lawleys Inc I ml 0 1 P.0. Box 31447 Stockton, CA 95213 DATE 11/13/2017 55107 BILL TO SHIP TO Triple Cali Ranch Triple Ranch 1 6305 Ave 176 18185 South I Dr Tulare, CA 93274 Tulare, CA 932.74 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 11/13/2017 Tony tulare QUANTITY 9; ITEM CODE DESCRIPTION PRICE EACH 80 24/18 All 24/18 Superior bag 40.25 3,700.00 Thank on! Lawle '3 values our business. 1' 3' Tota $3,700.00 Invoice Lawleys Inc P.0. Box 31447 Stockton, CA 95213 ATE 11/15/2017 52884 BILL TO SHIP TO Triple Cali Ranch Triple Calf Ranch NM 6305 Ave 176 Portales, NM Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 GD 11/15/2017 Don mel QUANTITY '4 ITEM CODE DESCRIPTION PRICE EACH 40 24/10 AM 24/18 AM Superior 47.25 1,890.00 4 Immu'nizer 44 lbs. Bags 205.00 820.00 1 M025 Magnum Calf Aid 25?? 200.00 200.00 I I Thank you. Lawley values your business. Total $2,910.00 Invoice Lawleys Inc P.0. Box 31447 Stockton, CA 95213 ATE 11/15/2017 55087 BILL TO SHIP To Triple Cali Ranch Triple Celf Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 932.74 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 11/15/2017 Tony tulare QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 40 Gold Gold Medal 50# Bag 53.00 2,120.00 La 1 la in 5. Thank you ey 5 ma es your us es Total $2,120.00 Lawleys Inc I mm j' if? P-O- Box 31447 DATE INVOICE Stockton, CA 95213 11/15/2017 55043 BILL To SHIP TO Triple Cali Ranch Triple Cali Ranch 6305 Ave 176 6305 Ave 176 Tulare, CA 932.74 Tulere, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. sean Net 30 11/15/1017 QUANTITY i; ITEM CODE DESCRIPTION PRICE EACH AMOUNT 840 20/20 AM 20/20 AM 43.50 30,540.00 Deliver 11/ 15 . a Thank you. Lawley 5 values your business Total $36,540.00 Inv01ce DATE INVOICE 11/15/2017 55044 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch #2 0305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.O.B. scan Net 30 11/15/2017 mark QUANTITY ITEM com: PRICE EACH AMOUNT 240 24/18 All 14/18 AM Top Calf Superior bag 46.25 11,100.00 0 I. Thank you. Lawley 5 values your business Total $11,100.00 Lawleys Inc I nvo1 ce P.O. Box 31447 I Stockton, CA 95213 DATE 11/16/2017 55088 BILL TO SHIP TO Triple Cali Ranch Triple Ranch 1 6305 Ave 176 18185 South I Dr Tulare, CA 932.74 Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 11/16/1017 Tony Tulare QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT W/Top Cali 46.25 3,700.00 Thank you! Lawley's valnes your business. Total $3,700.00 Lawleys Inc I .0 gm; P.0. Box 31447 - Stockton, CA 95213 DATE -. 11/10/2017 55045 BILL TO SHIP TO Triple Cal! Ranch Triple Cali Ranch #2 0305 Ave 170 0305 Ave 176 Tulare, CA 93274 Tulare, CA 93174 P.0. INUMBER TERMS REP SHIP VIA F.0.B. 1* sean Net 30 11/10/2017 Martin QUANTITY .. ITEM CODE DESCRIPTION PRICE EACH AMOUNT 200 24/18 All 24/ 18 AM Top Cali Superior bag 46.15 9,250.00 Deliver 11/ 10 Thank on! Lawle 's values our business. If Total $9,250.00 Lawleys Inc P.O. Box 31447 Stockton, CA 95213 Invoice DATE INVOICE 11/17/2017 55092 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 PO. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 11/ 17/2017 Tony tulare QUANTITY ?1 ITEM CODE DESCRIPTION PRICE EACH AMOUNT 40 Gold Gold Medal 50:! Bag 53.00 2,120.00 9 I Thank you. Lawley 3 values your business. Total $1,120.00 Lawleys Inc PO. Box 31447 TE Stockton, CA 95213 A 11/20/2017 54777 BILL TO SHIP TO Triple Cali Ranch Triple Calf Ranch 6305 Ave 176 WA Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 KS 11/20/2017 Ken WA QUANTITY 5 ITEM CODE DESCRIPTION PRICE EACH AMOUNT 12 Immunizer 44 lbs. Bags 200.00 2,400.00 Thank you! Lawley 5 values your business. Total 521400-00 Invoice Inc 97?3?; 44 .. ypf?f?? P.O. Box 31 7 DA VOI Stockton, CA 95213 CE . - 11/20/1017 55097 I BILL TO SHIP TO Triple Cali Ranch Triple Ranch 1 6305 Ave 176 18185 South I Dr Tulare, CA 93274 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 11/20/2017 Sean tulare QUANTITY ITEM CODE DESCRIPTION PRICE 200 24/18 All 14/18 AM top Cali (superior bag) 46.25 9,250.00 Thank you! Lawley's values your business. Total $9,250.00 Lawleys Inc P.0. Box 31447 Stockton, CA 95213 BILL TO Triple Calf Ranch 0305 Ave 170 Tulare, CA 93274 Invoice DATE INVOICE 11/20/2017 55090 SHIP TO Triple Ranch 1 18185 South I Dr Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 11/20/2017 Sean tulare QUANTITY ITEM CODE PRICE EACH AMOUNT 240 20/20 AM 20/20 AM 43.50 10,440.00 Thank you! Lawley?s values your business. Total $10,440.00 Lawleys Inc I mm 1 P.0. Box 31447 Stockton, CA 95213 DATE INVOICE 11/21/2017 55099 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93174 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 11/21/2017 Sean tulare QUANTITY ITEM c005 DESCRIPTION PRICE AMOUNT 80 24/10 All 24/18 AM W/top Cali 46.25 3,700.00 Thank on! Lawle '5 values our business. I 3? Total $3,700.00 Invoice Lawleys Inc P.O. Box 3144? DATE INVOICE Stockton, CA 95213 11/22/2017 55211 BILL TO SHIP To Triple Calf Ranch Triple Cali Ranch NM 6305 Ave 176 Pol-tales, NM Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 GD 11/22/2017 Don mel QUANTITY CODE DESCRIPTION PRICE EACH AMOUNT 80 24/18 AM 24/ 18 AM Superior 47.25 3,780.00 5 Immunizer 44 lbs. Bags 205.00 1,025.00 Thank Lawle 's lues our business. 3' Total 94.80500 Lawleys Inc Invoice a DATE 11/24/2017 55572 BILL TO SHIP TO Triple Calf Ranch Triple Cali Ranch #2 6305 Ave 1'76 6305 Ave 176 Tulare, CA 932.74 Tulare, CA 93274 HO. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 11/22/2017 QUANTITY ITEM com: A DESCRIPTION EAEH AMOUNT 400 20/20 AM 20/20 AM 43.50 17,400.00 400 24/ 18 All 24/18 AMwith 'rop Cali 8 Superior 46.25 18,500.00 nag 11/22 Th nk 11! Law! values our business. 3 yo eys Total $35,900.00 Invoice Lawleys Inc P.0. Box 3144? DATE INV Stockton, CA 95213 0'6? 11/27/2017 54004 BILL TO SHIP TO Triple Cali Ranch Triple Calf Ranch #2 6305 Ave 170 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 11/27/2017 Tony tulare QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 70 Gold Gold Medal 50:: Bag 53.00 3,710.00 11.0 24/ 18 All 24/18 AM Superior bag 46.25 5,550.00 Thank ou! Lawle '5 values our business. 3' 3' 3' Total 59060-00 Inc PO. Box 31447 Stockton, CA 95213 Invoice DATE INVOICE 11/29/2017 54608 BILL TO SHIP To Triple Cali Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 11/29/2017 Sean tulare QUANTITY ITEM CODE DESCRIPTION PRICE EACH 240 24/18 All 24/18 AM Superior bag 46.25 11,100.00 I . Thank you. Lawley 3 values your uslness Total $11,100.00 Lawleys Inc Invoice 4.- . f, ?f?zf??il? Box 31447 DATE INVOICE Stockton, CA 95213 - 11/29/2017 54610 BILL TO SHIP TO Triple Cali Ranch Triple Calf Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 PO. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 11/29/2017 Sean tulare QUANTITY DESCRIPTION I PRICE: EACH AMOUNT 200 24/18 All 24/18 AM 'rc Superior bag 46.25 9,250.00 . 0 Thank you. Lawley values your business. Total $9,250.00 r??w Invoice Lawleys Inc 0.13 447 [:39 P. ox 31 VOIC Stockton, CA 95213 ATE ., 11/30/2017 55357 BILL TO SHIP TO Triple Calf Ranch Triple Calf Ranch NM 6305 Ave 176 Portales, NM Tulare, CA 932.74 NUMBER TERMS REP SHIP VIA F.O.B. Net 30 GD Gary I) met QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 3 Immunizer 44 lbs. Bags 205.00 615.00 Thank you! Lawley's values your business. Total $615.00 Invoice Lawleys Inc PO. Box 31447 INVOICE Stockton, CA 95213 AT 11/30/2017 55717 BILL To SHIP TO Triple Cali Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 11/30/2017 QUANTITY ITEM DESCRIPTIQN PRICE EACH AMOUNT 840 24/18 All 24/18 AM TC Superior bag 46.25 38,850.00 11/30/17 I Thank you. Lawley values your business Total $38,850.00 Invoice Lawleys Inc a: P.0. Box 31447 - DATE IN Stockton, CA 95213 12/1/2017 55730 BILL TO SHIP To Triple Cali Ranch Triple Ranch 1 6305 Ave 176 18185 South I Dr Tulare, CA 93274 Tulare, CA 93274 PO. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 12/1/2017 Jose QUANTITY ITEM com: DESCRIPTION PRICE EACH AMOUNT 240 24/18 All 24/18 All TC Superior bag 46.25 11,100.00 Eri 12/1 Thank you! Iawley 5 values your business. $11,100.00 Total Invoice Lawleys Inc . .. Mimi: P.O. Box 31447 Stockton, CA 95213 A INVOICE . a 3" 12/4/2017 54796 BILL TO SHIP TO Triple Calf Ranch Triple Cali Ranch 6305 Ave 176 WA Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 KS 12/4/1017 Ken wa QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 15 lmmunizer 44 lbs. Bags 200.00 3,000.00 Thank you! Lawley's values your business. Total $3,000.00 Lawleys Inc Invoice ,9 xi?? PO. Box 31447 - - 1% Stockton, CA 95213 DAT INVOICE .. 12/6/2017 54616 BILL To SHIP To Triple Calf Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 13.0. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 Tony tulare QUANTITY ITEM cbDE DESCRIPTION PRICE EACH AMOQNT 240 24/18 All 24/18 AM TC Superior bag 40.25 11,200.00 40 Gold Gold Medal 50# Bag 53.00 2,120.00 Thank you! Lawley?s values your business. Total $13,220.00 Invoice Lawleys Inc x34; BOX 31447 DATE INVOICE Stockton, CA 95213 . 11/6/2017 55586 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 PO. NUMBER TERMS REP SHIP VIA F.0.B. sean Net 30 8 12/6/2017 QUANTITY ITEM CODE DESCRIPTION PRICE EACH AMOUNT 840 24/18 All 14/18 AM With Top Cali Superior 46.25 38,850.00 bag Deliver 12/6 Th on! Lawle '8 values our business. an Tota $38,850.00 r?x Lawleys Inc I 1 P.O. Box 31447 Stockton, CA 95213 DATE 12/7/2017 55:39 BILL TO SHIP TO Triple Cali Ranch Triple Calf Ranch NM 6305 Ave 176 Portales, NM Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 GD 12/7/2017 Don mel ITEM DESCRIPTION . PRICE EACH AMOUNT 80 24/18 AM 24/18 AM Superior 47.25 3.780.00 1 (338100 Cali Ranch Special 100# 608.00 608.00 4 lmmunizer 44 lbs. Bags 205.00 82.0.00 Th nk 0! Law] '3 values our business. a 5' Total $52084?: Lawleys Inc y-J?a Finance Charge PO. Box 31447 Stockton, CA 95213 DATE 121712017 FC 1504 BILL TO Triple Calf Ranch 6305 Ave 176 Tulare, CA 93274 TERMS U1M AMOUNT Finance Charges on Overdue Balance 6,031.22 Invoice #54455 for 38,280.00 on 0812412017 Invoice #54035 for 2,855.00 on 0812612017 [make #5452] for 5,220.00 on 0812912017 Invoice #54515 for 5,220.00 on 0813012017 Invoice #53556 for 848.00 on 0813012017 Invoice 1154516 for 9,700.00 on 0813112017 Invoice #54161 for 3,200.00 on 0313112017 Invoice #54524 for 5,220.00 on 0910112017 Invoice #54482 for 1,000.00 on 0910112017 Invoice #48431 for 410.00 on 0910112017 Invoice #54486 for 1,060.00 on 0910512017 Invoice #54485 for 6,960.00 on 0910512017 Invoice #54488 for 4,540.00 on 0910612017 Invoice #54170 for 2,845.00 on 0910612017 Invoice #54489 for 10,440.00 on 0910712017 Invoice #54490 for 1,060.00 on 0910712017 Invoice #54493 for 3,480.00 on 0910812017 Invoice #54491 for 5,220.00 on 0910812017 Invoice #48432 for 550.00 on 0910812017 Invoice #54188 for 1,950.00 on 0911112017 Invoice #54576 for 34,800.00 on 0911312017 Invoice #53577 for 3,480.00 on 0911412017 Invoice #54577 for 6,960.00 on 0911412017 Invoice #48458 for 1,800.00 on 0911512017 Invoice #51968 for 630.00 on 0911812017 Invoice #48433 for 525.00 on 0911812017 Invoice #54550 for 8,700.00 on 0911812017 Invoice #53588 for 10,440.00 on 0911912017 Invoice #54597 for 1,600.20 on 0911912017 Invoice #53593 for 3,480.00 on 0912112017 Invoice #53586 for 6,960.00 on 0912112017 Invoice #51969 for 2,220.00 on 0912212017 Invoice #53597 for 9,619.00 on 0912512017 Invoice #54913 for 10,440.00 on 0912512017 Invoice #54655 for 10,440.00 on 0912612017 Total Page 1 Lawleys Inc Finance Charge P.0. Box 31447 Stockton, CA 95213 DATE INVOICE 123/2017 FC 1504 BILL T0 Triple Calf Ranch 6305 Ave 176 Tulare, CA 93274 TERMS UIM DESCRIPTION AMOUNT Invoice #54910 for 10,440.00 on 09/210201? Invoice #53750 for 2,995.00 on 0912612017 Invoice #54657 for 5,220.00 on 09.127120]? Invoice #48494 for 2,620.00 on 0912712017 Invoice #54863 for 1,302.48 on 0912762017 Invoice #54912 for 34,800.00 on 09f28f2017 Invoice #51980 for 304.00 on 09i29/201? Invoice #54661 for 11,200.00 On 1010312017 Invoice #52760 for 6,425.00 on 1070312017 Invoice #54665 for 8,700.00 on 101002017 Invoice #54669 for 3,480.00 on 1010612017 Invoice #54673 for 8,700.00 on 10109301? Invoice #54672 for 10,440.00 on 10/09f2017 Invoice #51992 for 1,216.00 on 1070912017 Invoice #52784 for 4,010.00 on 1011010017 Invoice 1464 for 4,498.53 on 10!] i Invoice #54677 for 18,440.00 on 10/111201?r Invoice #54679 for 6,960.00 on 1011122017 Invoice #54680 for 24,360.00 on 10! 1232017 Invoice #51997 for 820.00 on 10/16/2017 Invoice #54689 for 21,260.00 on 1011772017 Invoice #52799 for 5,400.00 on 10fl7f2017 Invoice #54694 for 10,440.00 on [Oil 912017 Invoice #54696 for 10,440.00 on [Oil 9&017 Invoice #54054 for 1,216.00 on 10I19f2017 Invoice 1485 for 3,464.31 on 1170812017 Total $6,031.22 Page 2 Invoice P.O. Box 31447 Stockton, CA 95213 DATE 11/8/2017 55117 Lawleys Inc BILL TO SHIP TO Triple Calf Ranch Triple Ranch 1 6305 Ave 176 18185 South 1 Dr Tulare, CA 93274 Tulare, CA 93274 TERMS REP SHIP VIA F.0.B. Net 30 GB Jose tulare QUANTITY ITEM-CODE DESCRIPTION PRICE EACH AMOUNT 240 24/18 AM 24/18 AM Superior 46.25 11,100.00 Thank you! Lawley values your business. Total $11,100.00 k? Lawleys Inc P. 0. Box 31447 Stockton, CA 95213 Invoice DATE INVOICE 12/11/2017 54023 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 932.74 P.o. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 12/11/2017 Sean tulare QUANTITY ITEM (:ng DESCRIPTION PRICE EACH AMOUNT 240 24/ 18 All 24/ 18 AM Superior bog 40.25 11,100.00 0 Thank you. Lawley values your business Total 5111100.?, Lawleys Inc Invoice ?65. P.0. Box 31447 Stockton, CA 95213 DATE . 12/12/2017 54024 BILL TO SHIP TO Triple Calf Ranch Triple Cali Ranch #2 6305 Ave 170 0305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 12/ 12/ 2017 Sean tuiare QUANTITY ITEM CODE PRICE EACH AMOUNT 240 24/ 18 All 24/18 AM W/rc superior bag 46.25 11,100.00 40 Gold Gold Medal 50:: Bag 53.00 2,120.00 Thank you! Lawley's bvalues your business. Total $13,220.00 Lawleys Inc Invoice P.0. Box 31447 DA -.-- TE INVO Stockton, CA 95213 '05 . 12/14/2017 L146 SHIP TO Triple Cali Ranch Triple Cali Ranch 6305 Ave 176 0305 Ave 176 Tulare, CA 932.74 Tulare, CA 932.74 P.0. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 12/12/2017 Jose QUANTITY ITEM PRICE EACH AMQU NT :40 24/18 All 24/18 Top Cali Superior bag 46.2.5 11,100.00 deliver 11/13 in . Thank you! Lawley values your bus 035 Total 811400-00 Inc Ce P.0. Box 31447 Stockton, CA 95213 DATE mom? 12/14/2017 55262 BILL TO SHIP TO Triple Cali Ranch Triple Calf Ranch NM 6305 Ave 176 Portales, NM Tulare, CA 932.74 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 Don mel QUANTITY ITEM CODE. DESCRIPTION PRICE EACH 80 14/18 AM 24/18 AM Superior 47.2.5 3.780.00 lminunizer 441m. Bags 205.00 1,025.00 . I Thank you. lawley 3 values your business. Total $4.80 5.00 LawleyS Inc Invoice a PO. Box 31447 wfg'j? Stockton, CA 95213 DATE 12/15/2017 55118 BILL TO SHIP TO Triple Cali Ranch Triple Ranch 1 6305 Ave 176 18185 South I Dr Tulare, CA 93274 Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 12/15/2017 Tony tulare QUANTITY ITEM 0005"" DESCRIPTION PRICE EACH AMOQNT 200 24/ 18 All 24/18 AM W/fl'c superior bag 46.25 9,250.00 3 - Thank you. Lawley values your business. Total $9,250.00 Invoice Old Lawleys Inc P.0. Box 31447 Stockton, CA 95213 DATE 12/16/2017 54634 BILL TO SHIP To Triple Cali Ranch Triple Calf Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 Tony tulare QUANTITY ITEM CODE DESCRIPTION PRICE EACH 240 24/13 All 24/18 AM To Superior bag 40.25 11,100.00 Thank you! Iawley values your business. Total $11,100.00 01d Lawleys [no Invoice PO. BOX 31447 DATE Stockton, CA 95213 12/10/2017 54035 BILL TO SHIP TO Triple Cali Ranch Triple Calf Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 932.74 1:10. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 Tony tulare QUANTITY . ITEM DESCRIPTION EACH AMOUNT 320 24/10 All 24/13 AM we superior bag 40.225 14,800.00 21 Gold 9010 Medal 5011 Bag 53.00 1,113.00 Thank you. Lawley 5 values your busmess. Total $15,913.00 Lawleys Inc I 1 [gm PO. Box 31447 DATE 1 Stockton, CA 95213 . 12/20/2017 L132 SHIP TO Triple Cali Ranch Triple Calf Ranch #2 6305 Ave 176 - 6305 Ave 176 Tuiare, CA 93274 Tulare, CA 93274 Pb. NUMBER TERMS REP SHIP VIA F.O.B. sean Net 30 12/ 20/ 2017 QUANTITY ITEM co'b'E . DESCRIPHTION PRIQE ?qu 840 24/18 All 24/18 AM Superior bag 46.25 38,950.00 Deliver 12/20 Thank you! Lawiey?s values your business. Total $38,850.00 Old Lawleys Inc Inv01ce- P.O. Box 31447 Stockton, CA 95213 DATE 12/21/2017 55280 BILL TO SHIP To Triple Cali Ranch Triple Cali Ranch NM 6305 Ave 176 Portales, NM Tulare, CA 93174 9.0. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 61) 12/21/2017 non mel QUANTITY ITEM con?E' DESCRIPTION PRICE EACH AMQUNI 40 24/18 24/18 All! Superior_ 47.25 1,890.00 10 lmmunizer 44 lbs. Begs 205.00 2,050.00. Thank you! Lawley's values your business. Total $3,940.00 I. Invoice Old Lawleys Inc PO. Box 3144? DA Stockton, CA 95213 12/21/2017 55122 BILL TO SHIP To Triple Cali Ranch Triple Calf Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 93274 P.O. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 8 Tony tulare QUANTITY ITEM 00an .. . DESCRIPTION PRICE EACH 40 Gold Gold Medal 50# Bag 53.00 2,120.00 Thank you. Lawley 8 values your business Total $2,120.00 Old Lawleys Inc I 0 i P.O. Box 31447 Stockton, CA 95213 DATE 1N OIG 12/12/2017 55124 BILL TO SHIP TO Triple Cali Ranch Triple Ranch 1 6305 Ave 176 18185 South I Dr Tulare, CA 93174 Tulare, CA 93174 PO. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 11/11/1017 Tony tulare QUANTITY ITEM 6005f? Descmp?on PRICE EACH AMOUNT 240 24/18 All 24/18 AMTC Superior bag 46.15 11,100.00 in . Thank you! Lawleysvalues your us ess Total $11,100.00 Old Lawleys Inc P.O. Box 31447 Stockton, CA 95213 Invoice DATE INVOICE 12/20/2017 54040 BILL To SHIP TO Triple Cali Ranch Triple Cali Ranch #2 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 932.74 P.0. NUMBER TERMS REP SHIP VIA F.O.B. Net 30 12/26/2017 Tony tulare QUANTITY cone; DESCRIPTION PRICE EACH AMOUNT 240 24/18 All 24/18 AM To superior bag 46.2.5 11,100.00 . Thank you! Lawley values your usiness Total $11,100.00 Old Lawleys Inc P.O. Box 31447 Stockton, CA 95213 Invoice DATE INVOICE 12/27/2017 54641 BILL TO SHIP TO Triple Calf Ranch Triple Cali Ranch 6305 Ave 176 6305 Ave 176 Tulare, CA 93274 Tulare, CA 932.74 P.0. NUMBER TERMS REP SHIP VIA F.0.B. Net 30 12/17/2017 Tony tulare QUANTITY ITEM 0605 PRICE EACH AMOUNT 1,200 24/18 All 24/;8 AM To superior bag 46.2.5 55,500.00 39 Gold Gold Medal 50%! Bag - 53.00 2,067.00 1 Gold Gold Medal 50# Bag Damaged 0.00 0.00 bag Thank you! Lawley 5 values your business. Total $57,567.00 Lawle Inc Credit Memo PO. Box 31447 Stockton, CA 95213 DATE CREDIT N0- 121?2712017 555864 CUSTOMER Triple Calf Ranch 6305 Ave 176 Tulare, CA 93274 P.O. N0. REP PROJECT DESCRIPTION QTY UIM RATE AMOUNT 24118 AM TC Superior Bag -80 ea 46.25 4,700.00 Regarding Invoice 55586 Triple #2 Was billed for 840 bags and only 760 bags were delivered. Thank you! Lawlefs values your business. Total $3,700.00 01d Inc P.O. Box 31447 Stockton, CA 95213 BILL T0 Triple Calf Ranch 6305 176 Tulane, CA 93274 Finance Charge DATE INVOICE 1273172017 FC- 1527 TERMS U7M DESCRIPTION Finance Charges on Overdue Balance Invoice #54433 for 38,280.00 on 0872472017 Invoice #54035 for 2,855.00 on 0872672017 Invoice #54521 for 5,220.00 on 0872972017 Invoice #54515 for 5,220.00 on 0873072017 Invoice #53556 for 848.00 on 0873072017 Invoice #54516 for 9,700.00 on 0873172017 Invoice #54161 for 3,200.00 on 0873172017- Invoice #54524 for 5,220.00 on 0970172017 Invoice #54482 for 1,000.00 on 0970172017 Invoice #48431 for 410.00 on 0970172017 Invoice #54486 for 1,060.00 on 0970572017 Invoice #54485 for 6,960.00 on 0970572017 Invoice #54488 for 4,540.00 on 0970672017 Invoice #54170 for 2,845.00 on 0970672017 Invoice #54489 for 10,440.00 on 0970772017 Invoice #54490 for 1,060.00 on 0970772017 Invoice #54493 for 3,480.00 on 0970872017 Invoice #54491 for 5,220.00 on 0970872017 Invoice #48432 for 550.00 on 0970872017 Invoice #54188 for 1,950.00 on 0971172017 Invoice #54576 for 34,800.00 on 0971372017 Invoice #53577 for 3,480.00 on 0971472017 Invoice #54577 for 6,960.00 on 0971472017 Invoice #48458 for 1,800.00 on 0971572017 Invoice #51968 for 630.00 on 0971872017 Invoice #48433 for 525.00 on 0971872017 Invoice #54550 for 8,700.00 on 0971872017 Invoice #53588 for 10,440.00 on 0971972017 Invoice #54597 for 1,600.20 on 0971972017 Invoice #53593 for 3,480.00 on 0972172017 Invoice #53586 for 6,960.00 on 0972172017 Invoice #51969 for 2,220.00 on 0972272017 Invoice #53597 for 9,619.00 on 0972572017 Invoice #54913 for 10,440.00 on 0972572017 invoice #54655 for 10,440.00 on 0972672017 9,962.90 Total Page 1 01d Lawleys Inc Finance Charge P.0. Box 31447 Stockton, CA 95213 DATE INVOICE 1213112017 FC 1527 BILL T0 Triple Calf Ranch 6305 Ave 176 Tularc, CA 93274 TERMS U1M DESCRIPTION AMOUNT Invoice #54910 for 10,440.00 on 0912612017 Invoice #53750 for 2,995.00 on 0912612017 Invoice #54657 for 5,220.00 on 0912712017 Invoice #48494 for 2,620.00 on 0912712017 Invoice #54863 for 1,302.48 on 0912712017 Invoice #54912 for 34,800.00 on 0912812017 Invoice #51980'I?or 304.00 on 0912912017 InVoice #54661 for 11,200.00 on 1010312017 Invoice #52760 for 6,425.00 on 1010312017 Invoice #54665 for 8,700.00 on 1010412017 Invoice #54669 for 3,480.00 on 1010612017 Invoice #54673 for 8,700.00 on 1010912017 Invoice #54672 for 10,440.00 on 1010912017 Invoice #51992 for 1,216.00 on 1010912017 Invoice #52784 for 4,010.00 on 1011012017 Invoice 1464 for 4,498.53 on 1011112017 Invoice #54677 for 18,440.00 on 1011112017 Invoice #54679 for 6,960.00 on 1011112017 Invoice #54680 for 24,360.00 on 1011212017 Invoice #51997 for 820.00 on 1011612017 Invoice #54689 for 21,260.00 on 1011712017 Invoice #52799 for 5,400.00 on 1011712017 invoice #54694 for 10,440.00 on 1011912017 Invoice #54696 for 10,440.00 0111011912017 Invoice #54054 for 1,216.00 on 1011912017 Invoice #54700 for 8,917.50 on 1012312017 Invoice #55052 for 1,802.00 on 1012312017 Invoice #54841 for 2,000.00 on 1012312017 . . Invoice #55054 for 20,880.00 on 1012412017 Invoice #52818 for 4,420.00 on 1012412017 Invoice #55059 for 5,220.00 on 1012612017 Invoice #55057 for 12,560.00 on_1012612017 Invoice #54069 for 904.00 on 1012612017 Invoice #55012 for 8,700.00 on 1012712017 Invoice #55063 for 10,440.00 on 1013012017 Invoice #55068 for 11,200.00 on 1013012017 Total Page 2 Old Lawleys Inc Finance Charge P.0. Box 31447 Stockton, CA 95213 DATE INVOICE 12113112017 FC 152'}r BILL TO Triple Calf Ranch 6305 Ave 176 Tulaxe, CA 93274 TERMS UIM .. roes'cmpnon AMOUNTZ Invoice #55159 for 11,100.00 on 10130/2017 Invoice #55163 for 11,100.00 on 1013112017 Invoice #52838 for 4,010.00 on 1013112017 Invoice #55069 for 20,880.00 on 1110112017 Invoice #54093 for 366.00 on 1110112017 Invoice #55071 for 10,440.00 on 1110212017 Invoice #55017 for 11,100.00 on 1110212017 Invoice #55077 for 10,820.00 on 1110612017 Invoice #55076 for 8,700.00 on 11/061201? Invoice #55078 for 2,400.00 on 1110612017 Invoice #55182 for 11,100.00 on 1110712017 Invoice #54082 for 820.00 on 1110712017 Invoice #54759 for 1,200.00 on 1110712017 Invoice 1485 for 3,464.31 on 1110812011r Invoice #55082 for 10,440.00 on 1110812017 Invoice #55183 for 11,100.00 on 1110812017 Invoice #5 5103 for 10,440.00 on 1110912017 'Invoice #52867 for 1,800.00 on 1110912017 Invoice #55105 for 1,850.00 on 1111012017 Invoice #55107rfor 3,700.00 on 1111312017 Invoice #55043 for 36,540.00 on 11/151201? Invoice #55044 for 11,100.00 on 1111512017 Invoice #55087 for 2,120.00 on 1111512017 Invoice #52884 for 2,910.00 on 1111512017 Invoice #55045 for 9,250.00 on 1111612017 Invoice #55088 for 3,700.00 011111612017 Invoice 1504 for 6,031.22 on' 1210712017 Total $9,962.90 Page 3 Lawleys Inc. Invoice {ff/l P.0. Box 31447 We 5-5? Stockton CA 95213 DAT IN 1/4/2018 55806 BILL TO SHIP TO Triple Calf Ranch Triple Ranch 1 6305 Ave 176 18185 South Dr Tulare, CA 93274 Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.O.B. SS Tony tulare QUANTITY ITEM CODE UIM EACH AMOUNT 190 24/18 AM 24/18 AM Sgperior EA 49.50 9,405.00 Sales Tax-City of Stockton 9.00% 0.00 We a reciate our rom ment. PP Total 39.40500 Lawleys Inc. I 1 447 P.O. Box 31 Stockton CA 95213 DATE 1/4/2018 55807 BILL To SHIP To Triple Cali Ranch Triple Cali Ranch 6305 Ave 1'76 6305 Ave 1'76 Talon-e, CA 932.74 Tulare, CA 932.74 P.0. NUMBER TERMS REP SHIP VIA F.O.B. C.O.D SS 1/4/2018 Tony tulare QUANTITY ITEM CODE - DESCRIPTION UIM PRICE EACH AMOUNT '40 Gold Gold Medal sot: Bag EA 53.00 2,120.00 Sales Tax-City!- of Stockton 9.0 0% 0.00 We apprecmte your prompt payment. Total $2,120.00 Invoice Lawleys Inc. P.0. Box 31447 Stockton CA 95213 DATE 1/5/2018 55300 BILL TO SHIP TO Triple Cali Ranch Triple Cali Ranch 6305 Ave 170 Hm Tulare, CA 93274 9.0. NUMBER TERMS REP SHIP VIA F.0.B. C.0.D GD 1/5/2018 Don me! QUANTITY ITEM cone ?ssc?mpnoiz um PRICE EACH AMOUNT 30 24/18 AM 24/18 MMSuperior EA . 41.25 1,4;750 1 038100 Cali B?inch special 100# EA .608;00 . 608.00 a First Aid 25 First Aid 25# EA 15090 300.00 Sales" Tax-City'o? S?egton -- 1 930%; 6.0.0 We appreciate your prompt payment. Total $2,315.50 Lawleys Inc. P.O. Box 31447 Stockton CA 95213 Invoice DATE INVOICE 1/12/2018 52710 BILL TO . SHIP To Triple Calf Ranch Triple Cali Ranch 0305 Ave 170 Nm Tulare, CA 93274 13.0. NUMBER TERMS REP SHIP VIA F.0.B. C.0.D GD Don mel QUANTITY ITEM CODE um PRICE EACH 40 24/18 AM 24/18 AM Superior . IEA 40.50 .. 1,980.00 1 0.38100 Calf Ranch speciauow EA 008.00 - 008.00- 1 Immunizer 50 Elm. Bags EA 210.00 210.00 3- ?Sales Tax-City 0E . 9.00%? 0.00 We appreciate your prompt payment. Total $21798000 Lawleys Inc. Credit Memo P.0. Box 31447 Stockton CA 95213 Date Cred? N0- U1 732018 55822 Customer Triple Calf Ranch 6305 Ave 176 Tulare, CA 93274 P.0. No. Project Description Qty UIM Rate Amount 2010.0 AM -240 43.50 -10,440.00 Returned to slim Thank you for your business. Subtotal 410,440.00 Sales Tax 30-00 Total INVOices ?0.44030 Balance Credit $0.00 Lawleys Inc. Credit Memo P.0. Box 31447 Stockton CA 95213 Date Cred? N0- 55323 Customer Triple Calf Ranch 6305 Av: 176 Tulare, CA 93274 P.O. No. Project Description Qty UIM Rate Amount -l99 EA 43.50 -8,656.50 Returned to Thank you for your business. Subtotal Sales Tax $0_00 Total anOiceS $8,656.50 Balance Credit $0.00 Invoice Lawleys Inc. - P.O. Box 31447 .- Stockton CA 95213 DATE INVOICE 1/19/2018 52737 BILL TO SHIP TO Triple Cali Ranch Triple Calf Ranch 6305 Ave 170 Nm Tulare, CA 93274 P.0. NUMBER TERMS REP SHIP VIA F.O.B. c.o.D GD 1/19/2018 Gary mel QUANTITY ITEM .CODE . . DESCRIPTION UM EACH AMOUNT 40 24/18 All 24/18 AM 10 EA 49.50 1,980.00 5 Immunlzer 5010?s. Bags EA 210.00 1,050.00 1 First Aid 25 first Aid 25# EA 150.00 150.00 Sales Tax-City of Stockton 9.00% 0.00 We appreciate your prompt payment. Total $3,180.00 EXHIBIT 3 Xm EXHIBIT 5 234567.009 . WHL15351 Trude Ddry was and 6305 AN. 176 ?nu. CA: I mm CA 93114 com-mm 3612017 559-503-2510 2 . omen OF Thousand Five Hundred Sixty and "mm- ooms? INC. PO BOX 31447 CA 95213 up wide ?3 HERO -. ?u?WVamnwm .. . 35:15? . . Accountr 3696 Sequenca:312538685 Deposited Account. 12081 CaptureSequence:1110370133720 . Pegsunon? a $900 13mg . ?r I: - - - aha-g . . r5 ?I'l ?l In :1 i . .H bicu?nlf I INEK IJIR. Ill Ifal'lhi I In i hummus. 15571 TRIPLE DAIRY a ?my aw 6105 AVE :75 We; mn- . i mum" 831112017 . 2 559-533-2510 .1 - l. i PAYTOTHE LaMey?ann. . ?9380.00 3 ORDEHOF 5 Nina Thousand Hundred - DOLLARS INC. - PO BOX 3144? STOCKTON, CA 95213 a mom 5 nuunm MEMO W29 gram i I IHEBEEBLEDI: .. .3895:23? 4 Museum:' 3696 Checki :15571 Sequence 312390295 Deposited Account: 2081 Date: 081'15/201? CaptureSequence 11101 624 3 6580 . ml DID ?1 1F L. in. "Him 4 1 ah?l m1 .- I.) mu'LUuL wt.? unam- I'M-ml mm um. na'. manhunt. ML 15801 TRIPLE VDAIRY 5:33. a? i Wc?m m: amen . ?Mu-15w a a THE Lawlay'a, Inc, 70,180.00 3 ORDER OF seventy Thousmd Ono ?mm Ehhv and INC. PO BOX 31447 STOCKTON. CA 95213 If VMAUD :23 I HEW w?m- ammo .. . . . . . Accountzi '3696 Amt?Junt?'m, 180 . 00 'Sequanca:313869600 Deposited Account:5' 2081 Date:09/Dlrzul7 CaptureSequence:1250460001060 a: .is I . 3333 . Egg?g - - . . . 384m i 3 =1an ?50 025% r'u . s: .5 . II 10.332017 ?82,706.96 mas-ma I 5 mm? Laudey?a. Inn. 3 ORDER OF . 5 ElghW-Two Theuaand Seven Hundred Six and Swim] i LAWLEYS. me. i PO BOX 31447 STOCKTON. GA 95213 ?"11!me Mum i i MEMO l? l?OlEiiqB? . .J u?glv tau-4v- -- .3 ut-v h-u-z- lo-h-xul.? I1: Accoul 3696 Checki:16135 Sequence:315003715 Deposited Account: 2081 Date:10/Ub/2011 CaptureSequence:3850131463?3'5 rt53 TRIPLE VD :16 TIME CA 91274 359423-25 IO Toms Lam 3, Inc. (@3550! SevenlrFIve Thousand One Hundred 0n: and o4 10:20am 1 8 3 "Within! mums? INC. PO BOX 31447 -- - STOCKTON. CA 95213 may if gum? . ?10 VAUI OW ?Fr?m?I# . n'DLEihan' Account 3696 Chaok#:16343 SeqUence:312546635 Deposited Account 081 Date 1 0/20/201 '1 CaptureSequence 1110-1 00116150