United States District Court Eastern District of Tennessee Energy and Policy Institute Civ. No. 3:19-cv-509 Plaintiff, V. Tennessee Valley Authority Defendant. Disclosure Statement Energy and Policy Institute provides the following corporate disclosure under Rule 7.1 of the Federal Rules of Civil Procedure and Rule 7.1 of the Local Rules of this Court: I, the undersigned, counsel of record for Energy and Policy Institute, certify that to the best of my knowledge and belief, my client has no corporate interests to be identi?ed under Federal Rule of Civil Procedure 7.1 or Federal Rule of Criminal Procedure 12.4. There are no parent companies, subsidiaries or af?liates associated with Energy and Policy Institute, and there are no publicly held corporation owning 10% or more of stock in EPI. Respectfully submitted 12th December 2019, 5.5 Shelby R. . Ward (TN BPR 030394) Allison Kole Bar 1031724) Shelby Ward Law Essential Information Inc. 128 Whispering Oaks Drive 1530 St. NW Lenoir City, TN 37771 Washington, DC 20005(202) 596-7540 (865) 205-6051 akole@essential.org (Motion for Pro Hac Vice Pending) A ttomeys for Energy and Policy Institute 1 Case Document 2 Filed 12/12/19 Page 1 of 2 PagelD 14 Certi?cate of Service I certify that on December 12, 2019, a copy of the Disclosure Statement was ?led electronically. Notice of this ?ling will be sent by operation of the Court?s electronic ?ling system to all parties indicated on the electronic ?ling receipt and by certi?ed mail. Respectfully submitted, L5, @044 Shelby R. B. Ward (TN BPR 030394) Shelby Ward Law 128 Whispering Oaks Drive Lenoir City, TN 37771 (865) 205-6051 shelby@shelbywardlaw.com Allison Kole (DC Bar 1031724) Essential Information Inc. 1530 St. NW Washington, DC 20005 (202) 596-7540 akole@essential.org (Motion for Pro Hac Vice Pending) Attorneys for Plaintiff 2 Case Document 2 Filed 12/12/19 Page 2 of 2 PagelD 15