EXHIBIT From: Subject: Date: To: Cc: Patrick Mcpartland pmcpartland@lhrgb.com RE: Donald J. Trump for President, Inc./Jessica Denson, AAA Case No. 01-19-0000-5505 (the "Second Arbitration") May 29, 2019 at 1:44 PM jonathanweed@adr.org Lawrence Rosen lrosen@lhrgb.com, David Bowles david@lawdkb.com, Maury Josephson mbjlaw@verizon.net Good afternoon Mr. Weed, In accordance with paragraph 8B of the parties’ arbitration agreement (courtesy copy attached), we write to advise that the Campaign does not consent to the AAA’s jurisdiction over the Second Arbitration. Very truly yours, Patrick McPartland, Esq. The Trump Building 40 Wall Street, 32nd Floor New York, NY 10005 T: (212) 530-4837 C: (917) 647-4094 F: (212) 530-4815 E: PMCPARTLAND@LHRGB.COM ! Please, don't print if you don't have to. ------------------------------------------------------------------------------------This e-mail, and any attachments hereto, is intended only for use by the addressee(s) named herein and may contain legally privileged and/or confidential information. If you are not the intended recipient of this e-mail, you are hereby notified that any dissemination, distribution or copying of this e-mail, and any attachments hereto, is strictly prohibited. If you have received this e-mail in error, please immediately notify me by reply e-mail and permanently delete the original and any copy of this e-mail and any printout thereof. Finally, while the company uses virus protection, the recipient should check this email and any attachments for the presence of viruses. The company accepts no liability for any damage caused by any virus transmitted by this email. From: Patrick Mcpartland Sent: Wednesday, May 22, 2019 3:07 PM To: jonathanweed@adr.org Cc: Lawrence Rosen ; 'David Bowles' ; Maury Josephson Subject: Donald J. Trump for President, Inc./Jessica Denson, AAA Case No. 01-190000-5505 (the "Second Arbitration") Good afternoon Mr. Weed, We write in furtherance of our March 18, 2019 correspondence (courtesy copy attached) wherein the Campaign expressly reserved its contractual right to not consent to the AAA’s jurisdiction over the Second Arbitration. This right, which is in the “sole discretion” of the Campaign, is set forth in paragraph 8B of the subject Agreement (courtesy copy attached). We are aware of Judge Kehoe’s recent decision and order concerning the Campaign’s application to dismiss the Second Arbitration. We intend to discuss this with our client and expect to be able to notify the AAA by next Wednesday or Thursday whether the Campaign will or will not consent to the AAA’s jurisdiction over the Second Arbitration. Thank you, Patrick McPartland, Esq. The Trump Building 40 Wall Street, 32nd Floor New York, NY 10005 T: (212) 530-4837 C: (917) 647-4094 F: (212) 530-4815 E: PMCPARTLAND@LHRGB.COM ! Please, don't print if you don't have to. ------------------------------------------------------------------------------------This e-mail, and any attachments hereto, is intended only for use by the addressee(s) named herein and may contain legally privileged and/or confidential information. If you are not the intended recipient of this e-mail, you are hereby notified that any dissemination, distribution or copying of this e-mail, and any attachments hereto, is strictly prohibited. If you have received this e-mail in error, please immediately notify me by reply e-mail and permanently delete the original and any copy of this e-mail and any printout thereof. Finally, while the company uses virus protection, the recipient should check this email and any attachments for the presence of viruses. The company accepts no liability for any damage caused by any virus transmitted by this email. Jessica Denson NDA -…ted.pdf