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6 UNITED STATES DISTRICT COURT 7 WESTERN DISTRICT OF AT SEATTLE 8

9 DAVID B. AAMODT and PATRICIA A. AAMODT, husband and wife, and the marital 10 community composed thereof; SCOTT F. Case No. ABRAMS and GLORIA E. ABRAMS, husband 11 and wife, and the marital community composed 12 thereof; DAVID ADLER and MARCIA MASS ACTION ADLER, husband and wife, and the marital 13 community composed thereof; PATRICIA A. AHERN, a single woman; ALAN F. 14 ALEXANDER and PATRICIA J. ALEXANDER, husband and wife, and the 15 marital community composed thereof; 16 MICHAEL J. ALLMAN and PATRICIA A. ALLMAN, husband and wife, and the marital 17 community composed thereof; BIRGIT AMUNDSON, a single woman; CAMILLE J. 18 ANDERSON, a single woman; LYNN 19 ARGYLE, a single woman; DONALD ASELIN and SHARON ASELIN, husband and wife, and 20 the marital community composed thereof; VIRGINIA AUGUST, a single woman; 21 WILLIAM M. BACKLUND and PATRICIA A. BACKLUND, husband and wife, and the marital 22 community composed thereof; KEVIN BAIL 23 and KARLA HEATH, husband and wife, and the marital community composed thereof; BETH E. 24 BAKER, a single woman; BEBE BAKER and SKIP BAKER, husband and wife, and the 25 marital community composed thereof; JUANITA L. BALDWIN, a single woman; SHARON M. 26

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1 BALLISTY, a single woman; PATRICIA D. BANNER, a single woman; MARGIE Y. 2 BARATTO, a single woman; DAMON BARDELEBEN and NANCY BARDELEBEN, 3 husband and wife, and the marital community 4 composed thereof; BERT BARGMANN and GAYLE BARGMANN, husband and wife, and 5 the marital community composed thereof; ROBERT P. BARILETTI and NANCY J. 6 BARILETTI, husband and wife, and the marital community composed thereof; STEVE R. 7 BARKER and RUTH L. BARKER, husband and 8 wife, and the marital community composed thereof; DOROTHY F. BARTON, a single 9 woman; JOHN D. BATJER and DEBORAH D. BATJER, husband and wife, and the marital 10 community composed thereof; DAVID W. 11 BECKER, a single man; JEAN BECKFORD and SOLIS FORTUNATO, husband and wife, and 12 the marital community composed thereof; ROBERT BELL and CATHERINE BELL, 13 husband and wife, and the marital community composed thereof; BARRY BELOVSKY and 14 CLAIRE BELOVSKY, husband and wife, and 15 the marital community composed thereof; GARLAND BERNS and JUDITH D. BERNS, 16 husband and wife, and the marital community composed thereof; BARBARA BERNSTEIN, a 17 single woman; CRAIG L. BERRY and SIRI BERRY, husband and wife, and the marital 18 community composed thereof; NASSER 19 BESSADA, a single man; PAUL G. BEST and DINANNE L. BEST, husband and wife, and the 20 marital community composed thereof; ADRIENNE BESTE, a single woman; CHERYL 21 BICK, a single woman; JOHN BICKERSTAFF and ALICIA BICKERSTAFF, husband and wife, 22 and the marital community composed thereof; 23 GAIL F. BJORKMAN, a single woman; ALAN BLACK and KATHERINE BLACK, husband 24 and wife, and the marital community composed thereof; RONALD V. BLACK and STELLA J. 25 BALCK, husband and wife, and the marital community composed thereof; MARGARET 26

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1 BLACK, a single woman; RONALD W. BLUHM and SUSAN C. BLUHM, husband and 2 wife, and the marital community composed thereof; CAROL A. BOBREK, a single woman; 3 MOLLY M. BOLL, a single woman; 4 RANDALL T. BORDEN and DEETTE D. BORDEN, husband and wife, and the marital 5 community composed thereof; JOHN P. BORDENET and CECELIA J. BORDENET, 6 husband and wife, and the marital community composed thereof; LINDA BORICHEWSKI and 7 JOSEPH BORICHEWSKI, husband and wife, 8 and the marital community composed thereof; DONNA J. BOVEE, a single woman; JAMES L. 9 BOYLE and GRETCHANN E. BOYLE, husband and wife, and the marital community 10 composed thereof; JOHN L. BOYLE and 11 BARBARA E. BOYLE, husband and wife, and the marital community composed thereof; JAY 12 E. BRACK, a single man; WILLIAM C. BRADFORD and SUNDAE BRADFOR, 13 husband and wife, and the marital community composed thereof; JOHN F. BRADLEY and 14 FRANCES M. BRADLEY, husband and wife, 15 and the marital community composed thereof; LESLIE BRADY and NANCY C. BRADY, a 16 married couple and the marital community composed thereof; JANET R. BRANDY, a 17 single woman; ROBERT J. BRAUNSTEIN and SUSAN BRAUNSTEIN, a married couple and 18 the marital community composed thereof; 19 MARK A. BREIDENBACH, a single man; WINTSTON BILL and NANCY BRILL, a 20 married couple and the marital community composed thereof; LAWRENCE N. BRODER 21 and SUSAN J. BRODER, a married couple and the marital community composed thereof; 22 THERESA A. BRONSON, a single woman; 23 MELVIN BROOK and JENNIFER BROOK, a married couple and the marital community 24 composed thereof; DAVID W. BROOKS and JEANNIE BROOKS, a married couple and the 25 marital community composed thereof; ALVIN BROWN and DEBORAH R. BROWN, a 26

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1 married couple and the marital community composed thereof; DIANE M. BROWN, a single 2 woman; McDONALD G. BROWN and ROSEMARY P. BRWON, a married couple and 3 the marital community composed thereof; 4 JAMES A. BROZ and JANICE W. BROZ, a married couple and the marital community 5 composed thereof; WILLIAM T. BRUCH and MARY P. BRUCH, a married couple and the 6 marital community composed thereof; DAVID H. BRUNEAU and CHRYSTINA BRUNEAU, a 7 married couple and the marital community 8 composed thereof; THEODOR KEIL and JEAN KEIL, a married couple and the marital 9 community composed thereof; LYNN A. BURCH, a single woman; MAGARET D. 10 BURNELL, a single woman; GORDON 11 BURNET and SALLY BURNET, a married couple and the marital community composed 12 thereof; LARRY L. BURNS and JUDITH A. BURNS, a married couple and the marital 13 community composed thereof; SHANNON BURRELL, a single woman; BARBARA 14 BURROWS and MICHAEL J. USHKA, a 15 married couple and the marital community composed thereof; JINNIE C. BUS, a single 16 woman; JAMES R. BUSS and MARIAN F. BUSS; a married couple and the marital 17 community composed thereof; JEREMY BUTLER and KAREN BUTLER, a married 18 couple and the marital community composed 19 thereof; BARBARA BYE and DICK BYE, a married couple and the marital community 20 composed thereof; BEN C. BALEY, a single man; JOHN CALHOUN and JAMIE L. 21 CALHOUN, a married couple and the marital community composed thereof; ELLANORA L. 22 CAMPBELL, a single woman; ELLEN 23 CAMPBELL, a single woman; JOHN D. CAMPBELL And KAREN L. CAMPBELL, a 24 married couple and the marital community composed thereof; WILLIAM CARLSTROM 25 and ANN CARLSTROM, husband and wife, and the marital community composed thereof; 26

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1 MICHAEL P. CARROLL and PATRICIA S. CARROLL, a married couple and the marital 2 community composed thereof; FRANK A. CARTER and JOSEPHINE A. CARTER, , a 3 married couple and the marital community 4 composed thereof; GAIL CERRA, a single woman; WAYNE V. CHAMBERS and 5 SHARON J. CHAMBERS, , a married couple and the marital community composed thereof; 6 PHILIP CHAN, a single man; AGNES Y. CHANG, a single woman; CHUN CHANG and 7 MYEONG CHANG, a married couple and the 8 marital community composed thereof; SANDRA B. CHIVERS, a single woman; DAVID M. 9 CHRISTIAN And MARLENE K. CHRISTIAN, a married couple and the marital community 10 composed thereof; CHUN REVOCABLE 11 LIVING TRUST; CAROL JEAN CHURCH, a single woman; DALE CLARK and JANET LEA 12 CLARK, , a married couple and the marital community composed thereof; KURT 13 CLASSEN and KATIE BUCHAN CLASSEN, , a married couple and the marital community 14 composed thereof; JAMES C. CLEMETSON 15 and SHARON CLEMETSON, , a married couple and the marital community composed thereof; 16 PHILIP P. COADY and ELIZABETH A. COADY, , a married couple and the marital 17 community composed thereof; COADY LIVING TRUST; ROGER L. COLEMAN and 18 SOLWEIG B. COLEMAN, , a married couple 19 and the marital community composed thereof; JAY COLLINS and PAMELA COLLINS, , a 20 married couple and the marital community composed thereof; JOHN CONNELLY and 21 EVELYN CONNELLY, , a married couple and the marital community composed thereof; 22 CONNELLY FAMILY TRUST; KAREN 23 MCBRIDE COOK, a single woman; MIKE COOK and LEE ANN COOK, husband and 24 wife, and the marital community composed thereof; JOHN G. COPERNOLL, a single man; 25 DAVID C. CORREA and VERNALEE W. CORREA, a married couple and the marital 26

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1 community composed thereof; ELEANOR CORRIGAN, a single woman; GWEN 2 COTTINGHAM and DALE STIRN, a married couple and the marital community composed 3 thereof; ERLENE COURTNEY, a single 4 woman; AGNES CRIST and PER-ERIK MANSSON, a married couple and the marital 5 community composed thereof; JEAN K. CROCKER, a single woman; DORIS M. 6 CROSIER, a single woman; INDY CROWLEY and CHERYL CROWLEY, a married couple and 7 the marital community composed thereof; LYNN 8 S. CUSHMAN and JULIE P. CUSHMAN, a married couple and the marital community 9 composed thereof; JAY R. CUSHNIE and LOIS J. CUSHNIE , a married couple and the marital 10 community composed thereof; CUSHNIE 11 FAMILY TRUST; DIANE L. CVETOVICH, a single woman; CARL A. CZAJKOWSKI and 12 HELENA J. CZAJKOWSKI, a married couple and the marital community composed thereof; 13 JANA CZECH, a single woman; CAROL DAHLBERG, a single woman; JAMES L. 14 DALGARN and IRENE DALGARN, a married 15 couple and the marital community composed thereof; PATRICK E. DAVIDSON and 16 LINETTE WYATT, a married couple and the marital community composed thereof; SHARON 17 D. DAVIS, a single woman; THOMAS W. DAVIS and TERESA C. DAVIS, a married 18 couple and the marital community composed 19 thereof; HENK I. DAWSON and ELKE DAWSON, a married couple and the marital 20 community composed thereof; ROGER L. DEEGAN and SANDRA J. DEEGAN, a married 21 couple and the marital community composed thereof; CHARLOTT DEFRANCES, a single 22 woman; DAVID DEINES, a single man; 23 LYNDA DENNEMARCK, a single woman; EDWIN J. DESCAMP and JEANNE E. 24 DESCAMP, a married couple and the marital community composed thereof; RICHARD E. 25 DILL and KATHLEEN J. DILL, a married couple and the marital community composed 26

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1 thereof; THOMAS P. DILLON and BEVERLY A. DILLON, a married couple and the marital 2 community composed thereof; ROBERT E. DIXON and EDITH L. DIXON, a married 3 couple and the marital community composed 4 thereof; RANDY A. DOBLAR and DEBRA M. DOBLAR, a married couple and the marital 5 community composed thereof; ALAN R. DOE and NORMA F. DOE, a married couple and the 6 marital community composed thereof; BEVERLY DOMAN, a single woman; 7 THOMAS J. DONAHEY and LINDA J. 8 DONAHEY, a married couple and the marital community composed thereof; TURRELL S. 9 DOOLITTLE, a single man; DANIEL F. DORAN and JANETTE F. DORAN, a married 10 couple and the marital community composed 11 thereof; JUDY DOW, a single woman; WILLIAM L. DOWNS and MYRNA DOWNS, 12 a married couple and the marital community composed thereof; DOWNS LIVING TRUST; 13 BENJAMIN Z. DRAJPUCH and JACALYN DRAJPUCH, a married couple and the marital 14 community composed thereof; THOMAS 15 DRZEWIECKI and ANGELA DRZEWIECKI, a married couple and the marital community 16 composed thereof; ROBERT A. DUCHI and JANICE C. DUCHI, a married couple and the 17 marital community composed thereof; BEVERLY J. DUKE, a single woman; THE 18 DUKE TRUST; GEORGE S. DULEBA, a single 19 man; GARY A . DUNN, a single man; EBBE B. EBBESEN and JOANNE T. EBBESON, a 20 married couple and the marital community composed thereof; JERRY L. EDGERTON and 21 DARLENE G. EDGERTON, a married couple and the marital community composed thereof; 22 MICHAEL R. EDGMAND and JUDITH J. 23 EDGMAND, a married couple and the marital community composed thereof; LEILA EDWINS, 24 a single woman; ELLEN L. EGGE, a single woman; DAVID ELDER and MURIEL ELDER, 25 a married couple and the marital community composed thereof; MARICA J. ELLISON, a 26

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1 single woman; JAMES R. EMCH, a single man; THOMAS H. ESSIG and JUDITH ESSIG, a 2 married couple and the marital community composed thereof; STEVE ESTBY and DENISE 3 ESTBY, a married couple and the marital 4 community composed thereof; SANDRA EVANS and WAYNE EVANS, a married couple 5 and the marital community composed thereof; MASON G. FARRELL, JR. and LINDA H. 6 FARRELL, a married couple and the marital community composed thereof; ROBERT 7 FERGUSON and SHIRLEY FERGUSON, a 8 married couple and the marital community composed thereof; ELEANOR J. FERRER, a 9 single woman; JAMES J. FISCHER and JUDITH A. FISCHER, a married couple and the 10 marital community composed thereof; 11 KENNETH FLAJOLE and COLLEEN A. FLAJOLE, a married couple and the marital 12 community composed thereof; JOYCE D. FLYNN, a single woman; GEORGE FORD and 13 NANCY SNELL, a married couple and the marital community composed thereof; HUGH J. 14 FORD and JOYCE D. FORD, a married couple 15 and the marital community composed thereof; JEFFREY A. FORREY and JEANNE FORREY, 16 a married couple and the marital community composed thereof; DON W. FOWLER and 17 MARY C. FOWLER, a married couple and the marital community composed thereof; RONALD 18 L. FRANKLIN and LESLYN M. ROSE 19 FRANKLIN, a married couple and the marital community composed thereof; MARVIN 20 FREDRICKSON and LINDA L. FREDRICKSON, a married couple and the 21 marital community composed thereof; JEFFREY H. FRENCH and CAROLYN M. FRENCH, a 22 married couple and the marital community 23 composed thereof; ROY A. FRICKE and TING Y. FRICKE, a married couple and the marital 24 community composed thereof; KURT FRIEDRICH and KATLEEN FRIEDRICH, a 25 married couple and the marital community composed thereof; JAMES A. FRY and JODIE 26

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1 L. FRY, a married couple and the marital community composed thereof; MICHAEL 2 FULLER and MARY FULLER, a married couple and the marital community composed 3 thereof; JAMES GALLAGHER and BETTY 4 GALLAGHER, a married couple and the marital community composed thereof; DONALD E. 5 GARCIA and DOLORES GARCIA, a married couple and the marital community composed 6 thereof; RICHARD E. GARDNER and SAVILLE H. GARDNER, a married couple and 7 the marital community composed thereof; 8 ROBALD L. GARRETT and SANDRA L. GARRETT, a married couple and the marital 9 community composed thereof; GARRETT LIVING TRUST; DALE MARTIN GARVEY, 10 JR. and JANICE MOORE, a married couple and 11 the marital community composed thereof; RONALD V. GAUTREAU and SYBIL H. 12 GAUTREAU, a married couple and the marital community composed thereof; ZHENIN GELT 13 and LYUDMILA GELT, a married couple and the marital community composed thereof; 14 JOSEPH W. GELZER and LORELEI L. 15 GELZER, a married couple and the marital community composed thereof; ROBIN S. 16 GENTILE and RONALD L. GENTILE, a married couple and the marital community 17 composed thereof; DENNIS GIBBS, a single man; LAWRENCE C. GIBSON and DIANE M. 18 GIBSON, a married couple and the marital 19 community composed thereof; ALLEN GLENN and SANDRA GLENN, a married couple and 20 the marital community composed thereof; MIKELL GOE and RICHARD GOE, a married 21 couple and the marital community composed thereof; DONALD W. GOETSCH and 22 KATHLEEN L. GOETSCH, a married couple 23 and the marital community composed thereof; BARBARA D. GOLDHAMMER, a single 24 woman; ROBERT GOODKIN and SANDRA R. GOODKIN, a married couple and the marital 25 community composed thereof; DAVID M. GORDON and DIANE GORDON, a married 26

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1 couple and the marital community composed thereof; SARAH L. GORE, a single woman; 2 MARJORIE N. GORODKO, a single woman; KENNETH T. GRAAT and PAMELA D. 3 GRAAT, a married couple and the marital 4 community composed thereof; STEPHEN GRAY and CAROLINE A. GRAY, a married 5 couple and the marital community composed thereof; PAUL W. GRECO and MARELU M. 6 GRECO, a married couple and the marital community composed thereof; SKIP GREENE 7 and LINDA GREENE, a married couple and the 8 marital community composed thereof; RAYMOND GREGIORE and CHRISTINE 9 GREGOIRE, a married couple and the marital community composed thereof; WILLIAM 10 CHARLES GRESS, III and RUBY ANN 11 GRESS, a married couple and the marital community composed thereof; PATRICIA L. 12 GRIBBON and WILLIAM T. GRIBBON, a married couple and the marital community 13 composed thereof; JEFFREY D. GROSSMAN and VIVIAN GROSSMAN, a married couple 14 and the marital community composed thereof; 15 PATRICIA E. GUERNSEY, a single woman; ARTHUR L. GURTEL and SHARON F. 16 GURTEL, a married couple and the marital community composed thereof; LUCIAN G. 17 GUTHRIE and JO ANN A. GUTHRIE, a married couple and the marital community 18 composed thereof; JANINE R. GWILYM and 19 MILES L. GWILYM, a married couple and the marital community composed thereof; JOEL E. 20 HAAS and CAROLYN A. HAAS, a married couple and the marital community composed 21 thereof; JEFFREY HAGANDER and LUCIA HAGANDER, a married couple and the marital 22 community composed thereof; JOELL L. 23 HAGBERG, a single individual; JAMES O. HAGEN and NANCY C. HAGEN, a married 24 couple and the marital community composed thereof; EUGENE ROSS HAISCH, JR. and 25 WYNONNA D. HAISCH, a married couple and the marital community composed thereof; 26

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1 KAREN JEAN HALL, a single woman; ANNETTE I. HALLEN, a single woman; 2 KENNETH A. HAMERNIK and PEGGY ANN HAMERNIK, a married couple and the marital 3 community composed thereof; MERRIE E. 4 HAMLIN, a single individual; HAMMERBACK FAMILY TRUST; JESSE E. HAMMOND and 5 SANDRA J. HAMMOND, a married couple and the marital community composed thereof; JOHN 6 K. HANCOCK and JACQUELYN HANCOCK, a married couple and the marital community 7 composed thereof; ROBERT L. HANDLEY and 8 CELIA B. HANDLEY, a married couple and the marital community composed thereof; JEAN M. 9 HANSEN, a single individual; EDWARD M. HARTSTEIN, a single man; RICHARD R. 10 HASKITT and JOYCE E. HASKITT, a married 11 couple and the marital community composed thereof; GAIL . HAWLEY, a single woman; 12 DAVID K. HAYES, JR. and SUSAN D. HAYES, a married couple and the marital 13 community composed thereof; BARBARA HEADMAN, a single woman; GEORGE ROSS 14 HEATH and LORNA M. HEATH, a married 15 couple and the marital community composed thereof; WILLIAM R. HEGGER and KRISTINE 16 A. HEGGER, a married couple and the marital community composed thereof; KARL A. 17 HEILBORN and MARIE HEILBORN, husband and wife, and the marital community composed 18 thereof; SUSAN HELLER, a single woman; 19 JOCELYN B. HELM, a single woman; NOEL A. HENDERSON and CAROLYN J. HARRIS, a 20 married couple and the marital community composed thereof; HESS LIVING TRUST; 21 RICHARD HETHERINGTON and ANN HETHERINGTON, a married couple and the 22 marital community composed thereof; CHERYL 23 HIGGINS and JAN HIGGINES, a married couple and the marital community composed 24 thereof; WILLIAM A. HILTON, a single man; WINEFRED T. HIRANO, a single individual; 25 CHARLES S. HOFF and SHEILA R. HOFF, a married couple and the marital community 26

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1 composed thereof; NEIL R. HOFFMAN and MARIANNE M. HOFFMAN, a married couple 2 and the marital community composed thereof; KERMIT L. HOLMAN and AUDREY R. 3 HOLMAN, a married couple and the marital 4 community composed thereof; BURDETTE HOLMES and SHARON L. HOLMES, a 5 married couple and the marital community composed thereof; JAMES A. HOOKER and 6 ALME LEE HOOKER, a married couple and the marital community composed thereof; JACK 7 HOOPER and ANDREA L. WELKER, a 8 married couple and the marital community composed thereof; BRIAN HORAN and SUE 9 ATKINSON HORAN, a married couple and the marital community composed thereof; JAMES F. 10 HORRELL and BARBARA HORRELL, a 11 married couple and the marital community composed thereof; FRANK R. HOUMIEL, a 12 single man; LORRAINE HOUMIEL, a single woman; ELEANOR M. HOWARD and 13 ROBERT C. HOWARD, a married couple and the marital community composed thereof; 14 HOXIE REVOCABLE TRUST; PHILIP HOY 15 and BRENDA WEST, a married couple and the marital community composed thereof; ALICE 16 HUANG, a single woman; JANE R. HUBBELL, a single woman; ALLEN HUGHES and 17 NANCY HUGHES, a married couple and the marital community composed thereof; BARRY 18 HUI and AMY YUEN-FUN, a married couple 19 and the marital community composed thereof; FRANK HUI and YVONNE HUI, a married 20 couple and the marital community composed thereof; STANLEY D. HUMANN and KAY A. 21 HUMANN, a married couple and the marital community composed thereof; DAVID 22 HUNTMAN and SHEILA HUNTMAN, a 23 married couple and the marital community composed thereof; DAVID R. HYDE and 24 DAPHNE E. HYDE, a married couple and the marital community composed thereof; MARK R. 25 IRAOLA and KAREN E. IRAOLA, a married couple and the marital community composed 26

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1 thereof; MORRIS R. ISRAEL and NANCY E. ISRAEL, a married couple and the marital 2 community composed thereof; MARILYN IVERSON, a single woman; RANDALL V. 3 JACKSON and PATRICIA K. JACKSON, a 4 married couple and the marital community composed thereof; JAMES FAMILY TRUST; 5 LINDA A. JATON and WAYNE JATON, a married couple and the marital community 6 composed thereof; THOMAS L. JENKINS and DIANE M. JENKINS, a married couple and the 7 marital community composed thereof; 8 WILLIAM C. JENSEN and CAROL W. JENSON, a married couple and the marital 9 community composed thereof; CANDACE JOHNSON and RONALD JOHNSON, a married 10 couple and the marital community composed 11 thereof; GARY JOHNSON and VERLE JOHNSON, a married couple and the marital 12 community composed thereof; JOHN N. JOHNSON and VIRGINIA A. JOHNSON, a 13 married couple and the marital community composed thereof; JOAN M. JOHNSTON, a 14 single woman; JOSEPHINE A. HARVEY, a 15 single woman; LAWRENCE A. KAHN and ROSANNE S. COHN, husband and wife, and 16 the marital community composed thereof; STEPHEN E. KALISH and SUZANNE H. 17 KALISH, husband and wife, and the marital community composed thereof; SAT DEV 18 KAPAHI, a married man, individually and as 19 Trustee of the KAPAHI FAMILY TRUST; ASHOK N. KATTI and SUDHA N. KATTI, 20 husband and wife, and the marital community composed thereof; KAREN V. KELLY, a single 21 woman; DON M. KENNEDY and PATRICIA L. KENNEDY, husband and wife, and the marital 22 community composed thereof; ROBERT B. 23 KENNEDY and SANDRA L. KENNEDY, husband and wife, and the marital community 24 composed thereof; CECILE E. KERKOF and MICHELLE M. KIRWIN, individually, and the 25 Washington State Registered Domestic Partnership composed thereof; MAURICE A. 26

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1 KERKOF and CONSTANCE E. KERKOF, husband and wife, and the marital community 2 composed thereof; THOMAS KIENTZ, a single man; BRIAN KIMBALL and BARBARA L. 3 KIMBALL, husband and wife, and the marital 4 community composed thereof; TIMOTHY M. KIMSEY and GLENDA M. KIMSEY, husband 5 and wife, and the marital community composed thereof, individually and as Trustees for the 6 KIMSEY LIVING TRUST; DAVID KING and KAREN KING, husband and wife, and the 7 marital community composed thereof; RUTH 8 KING, a single woman; RALPH A. KINGMAN, a single man; ANTHEA KJERULFF, a single 9 woman; WILLIAM G. KNIGHT and DOROTHY A. GRAHAM, husband and wife, 10 and the marital community composed thereof; 11 DANIEL B. KOEBEL, an unmarried man, and SHARON L. COOPER, an unmarried woman; 12 MICHAEL KOPPEL and RICKI KOPPEL, husband and wife, and the marital community 13 composed thereof; MARGARET M. KRAHN, a single woman; RODNEY B. KREBS and JUDY 14 L. KREBS, husband and wife, and the marital 15 community composed thereof, individually and as Trustees for the KREBS FAMILY TRUST; 16 OI LING KRIEFF, a single man; MIN-CHIU KUO, a single woman; KENNETH R. KUSHIN, 17 a single man; MARILYN KUSSICK , a single woman, individually and as Trustee of the LEON 18 AND MARILYN KUSSICK REVOCABLE 19 TRUST; ROBERT M. LAGUARDIA and ROSE C. LAGUARDIA, husband and wife, and the 20 marital community composed thereof; STEVEN B. LANMAN and BETTY L. LANMAN, 21 husband and wife, and the marital community composed thereof; NORMAN A. LARSON and 22 BARBARA L. LARSON, husband and wife, and 23 the marital community composed thereof; MARIAM LATIF, a single woman, individually 24 and on behalf of IMMOVENTURE, LLC, a Georgia limited liability company; BARRY C. 25 LATTER and SUSAN E. LATTER, husband and wife, and the marital community composed 26

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1 thereof; PIERRE LAUZON and EILEEN M. LAUZON, husband and wife, and the marital 2 community composed thereof; CHARLES W. LAWRENCE and LOIS L. LAWRENCE, 3 husband and wife, and the marital community 4 composed thereof; VIRGINIA F. LAWSON, a single woman; JANIS B. LEE, a single woman; 5 LYNDEN D. LEE and HELEN B. LEE, husband and wife, and the marital community composed 6 thereof; DEAN LESTER and DIANNE LESTER, husband and wife, and the marital 7 community composed thereof; BARBARA A. 8 LEWIS, a single woman, and MICHELLE R. BURTON, a single woman; W. WAYNE 9 LICHTENBERGER and BONNIE A. LICHTENBERGER, husband and wife, and the 10 marital community composed thereof; JOHN A. 11 LIEBOWITZ and DIANE B. LIEBOWITZ, husband and wife, and the marital community 12 composed thereof; WILMOT H. LILLY, III and MARILYN R. LILLY, husband and wife, and 13 the marital community composed thereof; LAURENCE T. LINDE and GAIL A. LINDE, 14 husband and wife, and the marital community 15 composed thereof; NANCY I. LINDSTROM, a single woman; ANNA LISINA, a single woman; 16 JOHN LIU and WINNIE LIU, husband and wife, and the marital community composed thereof; 17 FRANCES W. LLOYD, a single woman; GILBERT A. LONG and ILONE D. LONG, 18 husband and wife, and the marital community 19 composed thereof; JOAN S. LONG, a single woman; PATRICIO LOPEZ and NORA 20 GUZMAN, husband and wife, and the marital community composed thereof; BONNIE 21 LORENZ, a single woman; JERI L. LOVELAND, a single woman; GORDON H. 22 LOWELL and LINDA K. LOWELL, husband 23 and wife, and the marital community composed thereof; DAVID J. LUBOCKI and JACKIE C. 24 LUBOCKI, husband and wife, and the marital community composed thereof; SUSAN A. 25 LUCAS, a single woman; MATTHEW B. LUEBBERS and CYNTHIA L. LUEBBERS, 26

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1 husband and wife, and the marital community composed thereof; HAROLD L. LUHN and 2 KAREN R. LUHN, husband and wife, and the marital community composed thereof; FLOYD 3 M. LUKECART and LORA I. LUKECART, 4 husband and wife, and the marital community composed thereof; FREDRICK J. LUKSON and 5 CAROLYN K. LUKSON, husband and wife, and the marital community composed thereof; 6 KENNETH D. LYON and ROBERTA J. LYON, husband and wife, and the marital community 7 composed thereof; MORTEN T. B. JOSLIN and 8 ALMA V. JOSLIN, husband and wife, and the marital community composed thereof, 9 individually and as Trustees for the M&A JOSLIN FAMILY TRUST; DOUGLAS K. 10 MACDUFF and KAREN D. MACDUFF, 11 husband and wife, and the marital community composed thereof; CHERIE K. MACLANE, a 12 single woman; DAVID M. MAGNUSON and DIANE L. MAGNUSON, husband and wife, and 13 the marital community composed thereof; CHERI LYN MAHONEY and DARWIN J. 14 SAMU, wife and husband, and the marital 15 community composed thereof; MARGARET C. MALONE, a single woman; RICHARD JOHN 16 MARASCO and DARLENE D. MARASCO, husband and wife, and the marital community 17 composed thereof, individually and as Trustees for the MARASCO FAMILY TRUST; 18 RONALD L. MARKEZICH and BEVERLY J. 19 MARKEZICH, husband and wife, and the marital community composed thereof; 20 RICHARD D. MARSHALL and NANCY K. MARSHALL, husband and wife, and the marital 21 community composed thereof; DALE A. MARTIN and SUSAN D. MARTIN, husband 22 and wife, and the marital community composed 23 thereof, individually and as Trustees of the DALE A. MARTIN AND SUSAN D. MARTIN 24 LIVING TRUST; JAMES E. MARTINEAU and KATHLEEN M. MARTINEAU, husband and 25 wife, and the marital community composed thereof; STEVEN I. MATHENY and ANITA R. 26

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1 MATHENY, husband and wife, and the marital community composed thereof; DONALD L. 2 MATTHES and SUSAN J. MATTHES, husband and wife, and the marital community composed 3 thereof; DAVID E. MATTHIAS and JUDY A. 4 MATTHIAS, husband and wife, and the marital community composed thereof; GEOFFREY 5 MAYER and SUSAN MAYER, husband and wife, and the marital community composed 6 thereof; CHARLES J. MCCALLUM, JR. and PENNIE J. MACCALLUM, husband and wife, 7 and the marital community composed thereof; 8 JOHN R. MCCANDLESS and CAROL A. MCCANDLESS, husband and wife, and the 9 marital community composed thereof; KURT D. MCCANN and MARY DEE MCCANN, 10 husband and wife, and the marital community 11 composed thereof; RONALD A. MCCRAY and CAROL LEE MCCRAY, husband and wife, and 12 the marital community composed thereof; STEPHEN E. MCFARLAND, SR. and ANNE 13 RACKERS MCFARLAND, husband and wife, and the marital community composed thereof; 14 ROBERT MCINTOSH and LOIS C. 15 MCINTOSH, husband and wife, and the marital community composed thereof; THOMAS A. 16 MCKAY and SHEILA E. MCKAY, husband and wife, and the marital community composed 17 thereof; DAVID MCMANAMON and MELEAH D. MCMANAMON, husband and 18 wife, and the marital community composed 19 thereof; KENNETH D. MCRAE, a single man; JAMES MEAD and JULIE MEAD, husband and 20 wife, and the marital community composed thereof; S. RICK MEIKLE and KAREN T. 21 MEIKLE, husband and wife, and the marital community composed thereof; DONALD 22 MEISER and MARLENE MEISER, husband 23 and wife, and the marital community composed thereof; MARGARITA E. MENDOZA and 24 JUSTINIANO R. MENDOZA wife and husband, and the marital community composed thereof; 25 STEPHEN A. MEREDITH and LINDA L. MEREDITH, husband and wife, and the marital 26

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1 community composed thereof; MIKE MESAROS and ROZI MESAROS, husband and 2 wife, and the marital community composed thereof; ROBERT E. MICHALAK, a single 3 man, individually and as Trustee of the 4 MICHALAK LIVING TRUST; JOSEF MICKLITZ and ELIZABETH MICKLITZ, 5 husband and wife, and the marital community composed thereof, individually and as Trustees 6 of the JOSEF MICKLITZ AND ELIZABETH MICKLITZ FAMILY TRUST; JOHN J. 7 MIHOVILOVICH and DONNA J. 8 MIHOVILOVICH, husband and wife, and the marital community composed thereof; 9 RICHARD MILBRODT and BONNIE MILBRODT, husband and wife, and the marital 10 community composed thereof; MASARU 11 MINEMOTO and VICKI LYNN MINEMOTO, husband and wife, and the marital community 12 composed thereof, individually and as Trustees of the MASARU MINEMOTO AND VICKI 13 LYNN MINEMOTO REVOCABLE LIVING TRUST; DAVID S. MITCHELL and LILLY O. 14 MITCHELL, husband and wife, and the marital 15 community composed thereof; JEFFREY K. MOIR, a single man; DONALD M. 16 MONCRIEFF and ROSEMARY J. MONCRIEFF, husband and wife, and the marital 17 community composed thereof; TED L. MONTGOMERY and KATHLEEN G. 18 MONTGOMERY, husband and wife, and the 19 marital community composed thereof; WILLIAM A. MOORE, a single man; JUDITH 20 A. MORLAND, a single woman; ROBERT S. MORRIS and DONNA G. MORRIS, husband 21 and wife, and the marital community composed thereof; MICHAEL R. MORRISON and 22 JEANNE M. MORRISON, husband and wife, 23 and the marital community composed thereof; DORIS E. MOSER, a single woman, and 24 BARBARA M. DOYLE, a single woman; JOE L. MOYA and SALLY A. MOYA, husband and 25 wife, and the marital community composed thereof; MARIE MUDD, a single woman; 26

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1 MICHELLE M. MURPHY, a single woman; MICHAEL MYERS and KATHLEEN MYERS, 2 husband and wife, and the marital community composed thereof; WILLIAM M. MYERS and 3 PRUDENCIA D. MYERS, husband and wife, 4 and the marital community composed thereof; SHIRLEY J. NAFE, a single woman; WILLIAM 5 D. NEER and CAROLE M. NEER, husband and wife, and the marital community composed 6 thereof; SANDRA A. NELSON, a single woman; LAWRENCE H. NESS and JANE E. 7 NESS, husband and wife, and the marital 8 community composed thereof; JOHN NEWSOM and SHARON NEWSOM, husband and wife, 9 and the marital community composed thereof; DOUGLAS B. NICHOLSON and 10 CONSTANCE A. NICHOLSON, husband and 11 wife, and the marital community composed thereof, individually and as Trustees of the 12 DOUGLAS B. AND CONSTANCE A. NICHOLSON TRUST; MARSHA M. 13 NIEMAN, a single woman; JUDITH M. NILSEN, a single woman; FRANK 14 NOMIYAMA and BETTY Y. NOMIYAMA, 15 husband and wife, and the marital community composed thereof; KUMIKO Y. NOMOTO, a 16 single woman; JOHN C. NORRIS and GLENDA C. NORRIS, husband and wife, and the marital 17 community composed thereof; LORENA M. OBLANDER, a single woman; MICHAEL T. 18 OLIVER and BARBARA S. OLIVER, husband 19 and wife, and the marital community composed thereof; ELLA JEAN OLSEN, a single woman; 20 HARVEY T. OLSON and MARIA M. OLSON, husband and wife, and the marital community 21 composed thereof; DENNIS G. OPACKI and JUDITH OPACKI, husband and wife, and the 22 marital community composed thereof; FRAN 23 OPHEIM, a single woman; MARVIN M. OWENS and BETTY M. OWENS, husband and 24 wife, and the marital community composed thereof; CONNIE PALAZZOLO, a single 25 woman, and ALICE HRNCIR, a single woman; KATHLEEN. J. PARIS, M.D., a single woman, 26

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1 individually and as Trustee of the KATHLEEN J. PARIS, M.D. TRUST; HELEN C. PARRISH, 2 a single woman; JAMES D. PASS and SUSAN PASS, husband and wife, and the marital 3 community composed thereof; JACK D. 4 PATTERSON and CATHERINE E. PATTERSON, husband and wife, and the 5 marital community composed thereof; RICHARD A. PAUL and KATHERINE G. 6 PAUL, husband and wife, and the marital community composed thereof; JAMES A. 7 PAXTON and MARY L. PAXTON, husband 8 and wife, and the marital community composed thereof, individually and as Trustees for the 9 JAMES AND MARY PAXTON FAMILY REVOCABLE TRUST; CHARLES A. 10 PEDRIDO, a single man, individually and as 11 Trustee for the PEDRIDO FAMILY TRUST; WILLIAM R. PEERCE, JR. and SUSAN L. 12 PEERCE, husband and wife, and the marital community composed thereof; KRISTINE S. 13 PEPPER, a single woman; MICHAEL A. PERKINS and SHELLEY M. PERKINS, 14 husband and wife, and the marital community 15 composed thereof; DIANE M. PETERSON, a single woman; DOUGLAS W. PETERSON and 16 MARYANNE PETERSON, husband and wife, and the marital community composed thereof; 17 ROGER F. PETERSON and DIANNE LISLE PETERSON, husband and wife, and the marital 18 community composed thereof; JOHN J. 19 PHILLIPS and ELEANOR F. PHILLIPS, husband and wife, and the marital community 20 composed thereof; ROBERT L. PIRTLE and JENNIFER PIRTLE, husband and wife, and the 21 marital community composed thereof; STEPHEN V. W. POPE and ANDREA A. 22 POPE, husband and wife, and the marital 23 community composed thereof; ROSE PORTER, a single woman; GREGORY R. POWERS and 24 MARIANNE N. POWERS, husband and wife, and the marital community composed thereof; 25 CHRISTINE D. PRESLEY, a single woman, individually and as Trustee of the CHRISTINE 26

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1 D. PRESLEY TRUST; ROBERT C. PRINGLE and TINA A. PRINGLE, husband and wife, and 2 the marital community composed thereof; CAROL WERTHEIMER PROESEL, a single 3 woman; RONALD F. RADKE and RUTH E. 4 RADKE, husband and wife, and the marital community composed thereof; JEANETTE B. 5 RAGSDALE and BOBBY J. RAGSDALE, wife and husband, and the marital community 6 composed thereof; DIANA L. RALL and STANLEY C. RALL, wife and husband, and the 7 marital community composed thereof; SUNDER 8 RANGARAM and CAROL ANN RANGARAM, husband and wife, and the 9 marital community composed thereof, individually and as Trustees for the SUNDER 10 RANGARAM AND CAROL ANN 11 RANGARAM TRUST; RICHARD W. RECOB and LINDA A. RECOB, husband and wife, and 12 the marital community composed thereof; JOHN D. REEVES and DIA M. REEVES, husband and 13 wife, and the marital community composed thereof; CHARLES REILLY and GAY ANN 14 REILLY, husband and wife, and the marital 15 community composed thereof; JEAN A. REITAN, a single woman; JANE J. REUBISH, a 16 single woman; RICHARD M. RESNIK and AMY M. RESNIK, husband and wife, and the 17 marital community composed thereof; LARRY O. RICHARDS and PATRICIA C. RICHARDS, 18 husband and wife, and the marital community 19 composed thereof; MARGARET R. RIEDER, a single woman; DENNIS J. RIEGER and 20 JANICE D. RIEGER, husband and wife, and the marital community composed thereof; KEIL A. 21 RIEGER and MORETTA RIEGER, husband and wife, and the marital community composed 22 thereof; VERA JANE RISDON, a single woman; 23 DAVID ROBNETT and GERALDINE ROBNETT, husband and wife, and the marital 24 community composed thereof; RICHARD L. RODMAN and CAROL F. RODMAN, husband 25 and wife, and the marital community composed thereof; ROMANO DOUGLAS P. ROMANO 26

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1 and ALLISON E. ROMANO, husband and wife, and the marital community composed thereof, 2 individually and as Trustees for the ROMANO FAMILY LIVING TRUST; DAVID H. 3 ROSENBERG and SANDRA WEINSTEIN 4 ROSENBERG, husband and wife, and the marital community composed thereof; ODILE 5 M. ROSENFELD, as Trustee of the GODIDI TRUST; DONALD A. ROSS and REDITH F. 6 ROSS, husband and wife, and the marital community composed thereof; JULITTA A. 7 ROSS, a single woman; HOWARD ROTH and 8 KATHY ROTH, husband and wife, and the marital community composed thereof; 9 GERHARD F. RUBEN and PALMA T. RUBEN, husband and wife, and the marital 10 community composed thereof; HARRY A. 11 RUBIN and CYNTHIA E. RUBIN, husband and wife, and the marital community composed 12 thereof; SIGMUND P. RUDOWICZ and ROSEMARY RUDOWICZ, husband and wife, 13 and the marital community composed thereof; DIANE RUFF, a single woman; CATHLEEN A. 14 RUGGIERO, a single woman; RICHARD G. 15 RUHLAND and GERALDINE M. RUHLAND, husband and wife, and the marital community 16 composed thereof; ROBERT RUSHING and GAIL RUSHING, husband and wife, and the 17 marital community composed thereof; HARRIET L. RUSSELL, a single woman; 18 WALTER R. RYAN, JR. and SARAH H. RYAN, husband and wife, and the marital 19 community composed thereof, individually and as Trustees for the WALTER RIDGEWAY 20 RYAN JR. AND SARAH COLEMAN HACKWORTH RYAN TRUST; JAMES R. 21 SAARI and JOYCE M. SAARI, husband and wife, and the marital community composed 22 thereof; ROBERT W. SACKMANN and DOROTHY C. SACKMANN, husband and 23 wife, and the marital community composed thereof; RICHARD C. SADLER and CHERYL 24 L. SADLER, husband and wife, and the marital community composed thereof, individually and 25 as Trustees for the RICHARD AND CHERYL SADLER FAMILY TRUST; ELLEN 26 SALDANA, a single woman; PHILIP C.

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1 SALVATORI and CONSTANCE M. SALVATORI, husband and wife, and the marital 2 community composed thereof; JAMES C. SANBORN and E. SUE SANBORN, husband 3 and wife, and the marital community composed thereof; WANTLAND SANDEL and PHYLLIS 4 SANDEL, husband and wife, and the marital community composed thereof; JIM D. SATHER 5 and BARBARA A. SATHER, husband and wife, and the marital community composed thereof; 6 ANTHONY E. SCHAFF and PHYLLIS M. SCHAFF, husband and wife, and the marital 7 community composed thereof; ARTHUR C. SCHEUNEMANN and MICHELLE E. 8 OWENS, husband and wife, and the marital community composed thereof; IRENE M. 9 SCHMIDT, a single woman; ROBERT A. SCHULTZ, a single man; MICHAEL 10 SCHWARTZ and RENA SCHWARTZ, husband and wife, and the marital community composed 11 thereof; MARSHALL R. SCOTT and GRACE L. SCOTT, husband and wife, and the marital 12 community composed thereof; DANNY A. SHAEFFER and DIANE M. SHAEFFER, 13 husband and wife, and the marital community composed thereof; JOHN G. SHAFFER and 14 ADRIENNE H. SHAFFER, husband and wife, and the marital community composed thereof; 15 TOM SHANLEY and SANDRA K. SHANLEY, a married couple and the marital 16 community composed thereof; JOHN C. SHANNON and SANDRA M. 17 SHANNON, husband and wife, and the marital community composed thereof; MARILYN T. 18 SHAW, a single woman; DIANA G. SHEARER, 19 a single woman; ELIZABETH SHEERAN, a single woman; CHRISTOPHER M. SHELDON 20 and REBECCA J. SHELDON, husband and wife, and the marital community composed 21 thereof; JERRY W. SHIFLET and ARDIS SHIFLET, husband and wife, and the marital 22 community composed thereof; JAMES O. 23 SHOULTS and DONNA M. SHOULTS, husband and wife, and the marital community 24 composed thereof; DAVID SHRIVER and SHARON SHRIVER, husband and wife, and the 25 marital community composed thereof; HARRY J. SHRIVER, a single man; MARGARITA 26

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1 SHTEYNBERG and MIKHAIL SHTEYNBERG, wife and husband, and the 2 marital community composed thereof; KEVIN T. SHYNE and FRANCINE C. SHYNE, husband 3 and wife, and the marital community composed 4 thereof; HERBERT W. SIEFKES and LOIS E. SIEFKES, husband and wife, and the marital 5 community composed thereof; CHAKWAN SIEW and MABEL SIEW, husband and wife, 6 and the marital community composed thereof; JACOB A. SIGL and OLGA ANNE SIGL, 7 husband and wife, and the marital community 8 composed thereof; FRANCES CAROL SIMMONS, a single woman; ROBERT C. 9 SMILOW and JEANIE L. SMILOW, husband and wife, and the marital community composed 10 thereof; DONALD L. SMITH and F. 11 ERNESTINE SMITH, husband and wife, and the marital community composed thereof; KIM W. 12 SMITH individually, and as Trustee of the KIM SMITH LIVING TRUST; FRANKLIN P. 13 SOKOL and VIRGINIA M. SOKOL, husband and wife, and the marital community composed 14 thereof; MARTIN P. SOKULSKI and 15 RACHELE A. SOKULSKI, husband and wife, and the marital community composed thereof; 16 ARNOLD SOMERS, a single man; WILLIAM M. STAAB, a single man; WILLIAM H. 17 STEIGER and SANDRA N. STEIGER, husband and wife, and the marital community composed 18 thereof; MICHAEL J. STEPHENSON and 19 CAROL K. STEPHENSON, husband and wife, and the marital community composed thereof; 20 PAUL R. STEVENS and PATRICIA A. STEVENS, husband and wife, and the marital 21 community composed thereof; SANDRA STORY, a single woman; MICHAEL T. 22 STRAINER, an unmarried man, and JUTTA 23 ROEHRIG, an unmarried woman; JAMES E. STROH and MARY J. STROH, husband and 24 wife, and the marital community composed thereof, individually and as Trustees for the 25 STROH REVOCABLE LIVING TRUST; EUGENE J. STUMPF and ELLEN T. STUMPF, 26

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1 husband and wife, and the marital community composed thereof, individually and as Trustees 2 for the LIVING TRUST OF EUGENE J. AND ELLEN T. STRUMPF; DAVID R. 3 SUTHERLAND and MARION M. 4 SUTHERLAND, husband and wife, and the marital community composed thereof, 5 individually and as Trustees for the SUTHERLAND REVOCABLE LIVING 6 TRUST; TREVOR M. SWANGARD and MARIANNE L. SWANGARD, husband and 7 wife, and the marital community composed 8 thereof; CORNELL K. SWANSON and SHIRLEY K. SWANSON, husband and wife, 9 and the marital community composed thereof; J. SHANNON SWEATTE and JANET E. 10 SWEATTE, husband and wife, and the marital 11 community composed thereof; DONALD SWENSON and BARBARA SWENSON, 12 husband and wife, and the marital community composed thereof; GARY SWOFFORD and 13 DIANE SWOFFORD, husband and wife, and the marital community composed thereof; 14 MARILYN J. SYLVESTER, a single woman; 15 SYLVIA A. SZYMANSKI, a single woman; JUDY L. TALBOTT, a single woman; 16 RICHARD N. TAUBER and BARBARA A. TAUBER, husband and wife, and the marital 17 community composed thereof; AYE AYE TAY, a single woman; DEAN TAYLOR and JOBESS 18 TAYLOR, husband and wife, and the marital 19 community composed thereof, individually and as Trustees for the TAYLOR LIVING TRUST; 20 DAVID D. TESSMER, a single man; BRUCE D. THOMPSON and RHODA THOMPSON, 21 husband and wife, and the marital community composed thereof; WILLIAM G. THOMPSON 22 and JUDITH L. THOMPSON, husband and 23 wife, and the marital community composed thereof; MATTHEW W. THOMSON and 24 GRACE THOMSON, husband and wife, and the marital community composed thereof; GERALD 25 F. TICE and JANICE F. TICE, husband and wife, and the marital community composed 26

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1 thereof, individually and as Trustees for the GERALD FRANK TICE AND JANICE FYRN 2 TICE FAMILY TRUST; WALTER K. TIMPE and KATHRYN J. TIMPE, husband and wife, 3 and the marital community composed thereof; 4 ROBERT L. TOOLEN and LORRI L. TOOLEN, husband and wife, and the marital 5 community composed thereof, individually and as Trustees for the ROBERT L. TOOLEN 6 FAMILY TRUST; MARY TREMAIN, a single woman; THOMAS H. TRIMBLE, a single man; 7 ROBERT F. TSCHUMPER and PATRICIA L. 8 TSCHUMPER, husband and wife, and the marital community composed thereof, 9 individually and as Trustees for the TSCHUMPER REVOCABLE TRUST; 10 MINORU TSUJI and JOAN TSUJI, husband and 11 wife, and the marital community composed thereof, individually and as Trustees for the 12 MINORU AND JOAN TSUJI FAMILY TRUST; CHARLES H. TURNER, a single man; 13 TURNPAUGH LISA and TIM TURNPAUGH, wife and husband, and the marital community 14 composed thereof; BRENDA G. UTTER, a 15 single woman; PER VAAGA and KATHRYN VAAGA, husband and wife, and the marital 16 community composed thereof; REX C. VALENTINE and KEIKO VALENTINE, 17 husband and wife, and the marital community composed thereof; DIANNE S. VALUCH and 18 THOMAS L. VALUCH, wife and husband, and 19 the marital community composed thereof; FRANCES C. VAN PAEMEL, a single woman, 20 individually and as Trustee of the FRANCES C. VAN PAEMEL TRUST; MYUNG JA KIM 21 VAN PATTEN, a single woman; PAUL E. VANDERSTOEP and KAREN 22 VANDERSTOEP, husband and wife, and the 23 marital community composed thereof; ARIE PIETER VANDERSTROOM and MAGDA 24 JOHANNA VANDERSTROOM, husband and wife, and the marital community composed 25 thereof; NEIL L. VONNAHME and DENISE S. VONNAHME, husband and wife, and the 26

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1 marital community composed thereof; ALAN E. VOORHEIS and JANICE VOORHEIS, husband 2 and wife, and the marital community composed thereof; RICHARD L. WADE and SUSAN L. 3 WADE, husband and wife, and the marital 4 community composed thereof; RUSSELL T. WAITE and MARILYN P. WAITE, husband 5 and wife, and the marital community composed thereof; ROXANNE L. WALLACE, a single 6 woman; MARY WALMAR, a single woman; JOSEPH T. WALSH and ELIZABETH C. 7 WALSH, husband and wife, and the marital 8 community composed thereof; SCOTT E. WARREN, a single man; STANLEY D. 9 WARREN and PATRICIA A. WARREN, husband and wife, and the marital community 10 composed thereof; PETER B. WASSERMAN 11 and BARBARA A. WASSERMAN, husband and wife, and the marital community composed 12 thereof; KEITH WATENPAUGH and JOYCE WATENPAUGH, husband and wife, and the 13 marital community composed thereof; JAMES C. WECKER, a single man; SANDRA J. 14 WEDELL, single woman, individually and as 15 Trustee of the WEDELL LIVING TRUST; STEPHEN J. WEHNER and ANDREA K. 16 WEHNER, husband and wife, and the marital community composed thereof; JANICE T. 17 WEINBERG, a single woman; SUSAN C. WHEELER, a single woman; DANIEL J. 18 WHELAN and SUSAN C. SCHUTTE, husband 19 and wife, and the marital community composed thereof; ANN RHODES WHITE and RONALD 20 G. BANICK, wife and husband, and the marital community composed thereof; EVERETT R. 21 WHITE and BETTY WHITE, husband and wife, and the marital community composed thereof; 22 JOSEPH MICHAEL WILDERMAN, a single 23 man, and JACQUELINE K. ROBERTS, a single woman, individually and as Trustee of the 24 JACQUELINE K. ROBERTS FAMILY TRUST; JUDITH L. WILLINGHAM, a single 25 woman; HAROLD R. WILSON and STEPHANIE WILSON, husband and wife, and 26

COMPLAINT 1918 EIGHTH AVENUE, SUITE 3300 • SEATTLE, WA 98101 Case No. (206) 623-7292 • FAX (206) 623-0594

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1 the marital community composed thereof; MARLIN F. WILSON and ALICE E. WILSON, 2 husband and wife, and the marital community composed thereof; NANCY P. WILSON, a 3 single woman; JOSEPH C. WILTON, JR. and 4 PAMELA P. WILTON, husband and wife, and the marital community composed thereof; JOHN 5 E. WOODCOCK and JOANNA G. WOODCOCK, husband and wife, and the 6 marital community composed thereof; BETTY B. WRIGHT and TERRY L. WRIGHT, wife and 7 husband, and the marital community composed 8 thereof; PAUL J. WRIGHT, JR. and NANCY T. WRIGHT, husband and wife, and the marital 9 community composed thereof; ROBERT W. WRIGHT and BARBARA C. WRIGHT, 10 husband and wife, and the marital community 11 composed thereof; FREDERICK YOUMANS and MARY YOUMANS, husband and wife, and 12 the marital community composed thereof; DONALD E. YOUNG and NANCY C. 13 YOUNG, husband and wife, and the marital community composed thereof; ROBERT C. 14 YOUNG and NANCY A. YOUNG, husband and 15 wife, and the marital community composed thereof; SHEILA I. ZAMBROWSKY, a single 16 woman; ELEANOR H. ZANIKER, a single woman; RONALD S. ZIMMERMAN and 17 JUDITH K. ZIMMERMAN, husband and wife, and the marital community composed thereof; 18 NANCY ZYTKOWICZ, a single woman, 19 Plaintiffs, 20 v. 21 SHEA HOMES, INC., a Delaware corporation, 22

23 Defendant.

24 25 26

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1 TABLE OF CONTENTS 2 Page

3 I. INTRODUCTION ...... 1

4 II. PARTIES ...... 6

5 A. Plaintiffs ...... 6

6 B. Defendant Shea Homes, Inc...... 6

7 III. JURISDICTION AND VENUE ...... 6

8 IV. FACTS ...... 7

9 A. The Design, Development and Approval of Trilogy at Redmond Ridge ...... 7

10 B. The “Shea Way”: the Manufacturing Process Utilized by Shea at Trilogy ...... 10

11 1. Shea Cut Corners on Garage Floors – Shea omitted moisture barriers and capillary breaks on at least 958 Trilogy homes...... 11 12 2. Shea Cut Corners on Corbels – Shea Omitted Metal Flashing 13 on Corbels and Knee Braces...... 22

14 3. Shea Cut Corners on Columns – Shea Omitted Water Intrusion Elements on Every Column It Built at Trilogy ...... 27 15 4. Shea Cut Corners on Windows and Doors – It Omitted the 16 Required Head Flashings ...... 31

17 5. Shea Cut Corners on Patios – Shea Omitted Flashing at the Patios ...... 34 18 6. Shea Cut Corners on Exterior Walls — Shea Omitted Flashing 19 at the Stone Veneer Wainscoting ...... 36

20 7. Shea Cut Corners on Decks – Shea Omitted the Flashing at the Deck-To-Wall Interfaces ...... 38 21 8. Shea Cut Corners on Drainage – Shea Installed Inadequate 22 Drains and Ventilation in Crawl Spaces ...... 41

23 9. Shea Cut Corners on Driveways – Shea Poured Slabs Directly Over Wet Soil and During Heavy Rains ...... 43 24 C. Plaintiffs’ Homes at Trilogy Are Defective and Require Extensive 25 Repair ...... 45

26 D. Shea Knows and Has Known for Years that Its Building Practices Are the Cause of the Defects in Homes at Trilogy, Yet it Refuses to Make 27 Required Repairs and Instead Requires Homebuyers to Make Costly Repairs Under its “Homeowner Maintenance” Rubric ...... 47 28 COMPLAINT - i

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1 V. EQUITABLE TOLLING OF STATUTES OF LIMITATIONS ...... 49

2 A. Equitable Estoppel ...... 49

3 B. Equitable Tolling ...... 50

4 VI. CAUSE OF ACTION VIOLATION OF THE WASHINGTON CONSUMER PROTECTION ACT, WASH. REV. CODE § 19.86 ...... 50 5 VII. PRAYER FOR RELIEF ...... 51 6 DEMAND FOR JURY TRIAL ...... 52 7

8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 COMPLAINT - ii

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1 I. INTRODUCTION 2 1. A home is the single most important and largest investment for most Americans. 3 Homeowners need to know material facts concerning the quality of their home in order to 4 determine whether they can afford to purchase and to maintain their home. In the Pacific 5 Northwest, of paramount importance to a reasonable homeowner are facts relating to the care a 6 builder takes to protect the home from the corrosive effects of our region’s most dominant 7 weather feature – water. 8 2. Water and moisture intrusion are the most serious corrosive and degenerative 9 agents for homes in the Northwest. It is critical that homes here are planned to withstand water 10 and moisture and are built in accordance with such plans. A builder must take care that the 11 windows, doors, garages, columns, external architectural features – that all surfaces that are 12 exposed to groundwater or weather—are constructed to account for such exposure. 13 3. Code requirements, industry norms in the Northwest, and plans that builders 14 submit to regulatory agencies to obtain building permits are scrutinized to ensure finished 15 construction will withstand our wet climate. Home buyers expect, and reasonably rely on the 16 premise, that a reputable builder will not deviate from code, industry norms, and its own 17 approved plans when constructing homes for retail sale, especially without notification to buyers 18 of such deviations from submitted plans, codes, and regulatory requirements. 19 4. This case arises because defendant Shea Homes, Inc. (“Shea”) chose to build and 20 sell over 1,500 homes in the Trilogy at Redmond Ridge development (“Trilogy”) that it knew 21 deviated from its architects’ and contractors’ guidelines, county-approved plans, and 22 recommendations. Shea intentionally omitted nearly all industry-standard methods for building 23 homes to withstand our wet weather. And, even after its first homes suffered from various forms 24 of water intrusion due to the substandard construction, Shea refused to tell its customers of the 25 problems and continued building new homes with the same defects. 26 5. To increase its profits, Shea consciously cut out crucial weather-proofing methods 27 that all responsible Northwest architects and builders include in their homes. Shea ignored 28 applicable code requirements, industry norms, and its own submitted and approved plans, all of COMPLAINT - 1

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1 which required Shea to build homes with metal flashings and sufficient moisture intrusion 2 barriers, drainage, soil compaction, and construction elements for the homes to withstand the 3 Pacific Northwest climate. 4 6. As detailed below, Shea’s own experts, architects, and subcontractors have 5 admitted and confirmed that Shea purposefully omitted King County-required water and 6 moisture intrusion prevention components that were specifically called for in Shea’s approved 7 building plans. Yet Shea never disclosed its purposeful and repeated deviations from the county- 8 approved building plans. 9 7. Despite knowing that its customers wanted – in fact expected – durable, low- 10 maintenance, trouble-free homes, and despite Shea’s own promise to build high-quality homes, 11 Shea omitted telling buyers of at least the following deviations from the county-approved 12 building plans, which have directly resulted in significant water damage, rot, and moisture 13 intrusion that require expensive repairs: 14 A. Garage Floors: Shea’s approved plans required it to install pea gravel and 15 a moisture barrier under every garage slab at Trilogy. Shea’s Geotechnical Engineering Report, 16 which Shea submitted to the County and was incorporated into its approved plans, required 17 4 inches of pea gravel and moisture barriers under each slab to keep the underground water from 18 migrating through the concrete. Instead of following those plans, Shea instructed its builders and 19 subcontractors to ignore the plans and Geotechnical Engineering Report and pour the garage 20 slabs directly over the bare, and often wet, dirt at the lot – all to save about $50 per house. Shea 21 omitted telling buyers that it was deviating from the approved plans in construction of the garage 22 floors. Lacking the required pea gravel and moisture barrier, moisture from the ground under the 23 slabs seeps up through the garage floors of homes at Trilogy causing odors, mold, deterioration, 24 and the inability to use the garages in a normal and expected manner. Shea observed the 25 moisture problems on some of its very first homes, but kept building with its defective methods 26 to save a few extra dollars. In some cases, Shea ordered its subcontractors to pour concrete in 27 the rain and over puddles, knowing the slabs would fail, and knowing it would have to replace 28 the slabs, all in an effort to close the sale before anyone saw the problem. COMPLAINT - 2

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1 B. Corbels (also known as knee braces): Corbels are architectural design 2 elements on the exterior of homes that give the appearance of a beam and support passing 3 through a wall. They are a common element of “craftsman” style homes. At Trilogy, corbels 4 were designed to be solid wood 4x4 or bigger posts, joined at an angle, and attached to the siding 5 of the house. Shea’s County-approved plans required corbels to be installed with metal flashing 6 to prevent water intrusion and to be attached to the sides of houses with ½” thick lag bolts. But 7 Shea instructed its builders and subcontractors to ignore these requirements, to nail the corbels to 8 exterior walls with thin framing nails, and not to install metal flashing. Shea omitted telling any 9 buyers that it was deviating from the approved plans and standard good Northwest building 10 practices for the installation of corbels. Lacking the required metal flashing and lag-bolt 11 attachments, the corbels on homes at Trilogy are uniformly rotting and falling from the sides of 12 houses. At various stages of development, Shea observed the failing (and falling) corbels, yet 13 continued to build hundreds more houses with the same defects. 14 C. Columns. Hundreds of Trilogy homes have columns at or near the front 15 doors. Some columns also support the roof structure. All are exposed to wind and rain. Shea’s 16 County-approved plans required columns to be built with water intrusion prevention elements 17 such as metal flashing, treated structural support posts, weep screeds at the base to allow for 18 moisture drainage, and concrete pedestals to prevent moisture intrusion from the ground up. 19 Shea omitted telling buyers that instead of following its plans, it built columns without flashing, 20 without structural supports, without weep screeds, and without any method of preventing 21 moisture from coming up from the ground into the components of the columns. As with the 22 other omissions, Shea cut these important components out to save a few extra dollars per house. 23 Shea also built hundreds of homes long after an internal investigation revealed that its defective 24 method of building the columns caused them to rot right “from the beginning” of construction. 25 As a result of Shea’s failure to follow the County-approved plans for columns, the columns are 26 rotting from the top and the bottom. 27 D. Windows. Shea’s County-approved plans called for metal head flashings

28 above all windows in its homes. Contrary to building code and King County requirements, Shea COMPLAINT - 3

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1 deviated from the permitted plans continuously from 2001 to 2008 by omitting the required 2 metal head flashings above windows. Shea did this without asking for permission from or 3 informing the King County Building Department. King County Building Department 4 representative Jane McPherson has testified that eliminating the metal head flashings from the 5 plans “would never have been approved.” Shea’s retained expert, Randy Hart, has testified in 6 another case stemming from these same defects that head flashings are industry standard and that 7 he has not designed a building, or recommended construction of a building, without a head 8 flashing above a window or door in at least 15 years. Shea omitted informing buyers that despite 9 its approved plans, it was not installing metal head flashing above the windows in the homes it 10 was selling. As a result of Shea’s failure to install the metal head flashings above windows as 11 required in its County-approved plans, water is intruding into the window frames in Trilogy 12 homes and rotting the trim and surrounding siding. 13 E. Doors. Just as with the windows, Shea’s County-approved plans required 14 metal head flashings above its doors. Shea’s own architect testified that window and door head 15 flashings were critical elements of his design given the wet Northwest weather. Jane McPherson 16 likewise testified that removing door head flashings would not have been allowed by the County. 17 Shea omitted telling buyers that despite its approved plans, it was not installing metal head 18 flashing above the doors in the homes it was selling. As a result of Shea’s failure to install the 19 metal head flashings above doors as required in its approved plans, water is intruding into the 20 door frames in Trilogy homes and rotting the trim and surrounding siding. 21 F. Patios. King County building codes require the installation of L-metal

22 flashing where wall siding comes in contact with a patio slab. Shea’s own architect advised Shea 23 not to pour concrete patios against the siding. Despite this advice, Shea poured all of the 24 concrete at all of its homes directly against the wall siding, and purposefully failed to install the 25 required flashing. Again, Shea failed to tell its homebuyers that the patios on the houses it sold 26 were poured without the requisite L-metal flashing. Without the required flashing, water hitting 27 the siding (rain) runs down against the poured patio and causes the wall siding to rot, which is 28 what happened at Shea’s model homes, which Shea retroactively fixed with the required L-metal COMPLAINT - 4

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1 flashings. Shea’s expert, Randy Hart, has testified that this defect should be corrected at every 2 home at Trilogy at which it exists. 3 G. Stone Veneer Wainscoting. The County-approved and permitted drawings 4 by Shea’s architects required the installation of an L-metal flashing along the top of the stone 5 veneer wainscoting and under the Hardiplank or Cemplank wood siding above. Shea 6 purposefully failed to install the required flashing at all Trilogy homes on which it installed stone 7 veneer wainscoting, and Shea omitted telling homebuyers that the stone veneer wainscoting on 8 the houses it sold were installed without the requisite L-metal flashing. Without the required 9 flashing, water that makes its way behind the Hardiplank or Cemplank siding or that runs down 10 that siding has no way to escape and causes the wall to rot. 11 H. Decks. As with patios, deck installations are required to have L-metal 12 flashing where the decking abuts to the wall siding. Shea’s subcontractors have acknowledged 13 that they knew L-metal flashing was required, but Shea instructed them not to install it. Shea 14 omitted telling home buyers that it built the decks without the required L-metal flashing. 15 Without the required flashing, water running down the exterior wall remains in contact with the 16 decking causing the siding and decking to rot. 17 I. Drainage. Shea omitted required drainage components, ran downspouts 18 straight into the soil rather than connecting them to the required tight-line drain, and failed to 19 correct the problems despite Shea’s knowledge of standing water in crawlspaces that caused 20 mold and attracted frogs and vermin, standing water in yards, and resulting damage to homes at 21 Trilogy. Shea directed its subcontractors to frame over standing water in the crawl spaces, and to 22 install hardwood flooring while knowing the moisture in the crawl spaces would warp the floor 23 and breed mold on the framing. 24 J. Driveways. Shea omitted necessary soil compaction and adherence to 25 weather and soil limitations in constructing driveways and, as a result, hundreds of driveways at 26 Trilogy have suffered cracking, spalling, settlement, or other failure. 27 8. As a result of Shea’s reckless and material disregard of the King County building 28 codes, its own consultants, its subcontractors, and its architects, and Shea’s failure to disclose COMPLAINT - 5

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1 any of these omissions to its customers, Plaintiffs have suffered substantial damages. They have, 2 for example, garage floors that need pea gravel and moisture barriers, corbels and columns that 3 need replacement, and windows, doors, patios, and decks that need flashing and new trim. 4 Plaintiffs’ damages are the direct result of Shea’s deviation from King County Code, industry 5 norms, and its own building plans – none of which deviations Shea ever disclosed.

6 II. PARTIES 7 A. Plaintiffs 8 9. Each of the Plaintiffs purchased a home at Trilogy. The address of each 9 Plaintiff’s home, the model of the home, and the year of construction by Shea are listed in 10 Exhibit 1. Exhibit 1 also lists, for each Plaintiff, the recently discovered defectively constructed 11 elements of such Plaintiff’s home.1 The expected repair costs for all defects at each home, 12 together with stigma damages based on the known problems with construction at Trilogy 13 resulting from Shea’s omissions, and trebled under the provisions of the Washington Consumer 14 Protection Act, exceeds $75,000 for each home and thus for each Plaintiff.

15 B. Defendant Shea Homes, Inc. 16 10. Defendant Shea Homes, Inc. is a Delaware Corporation. Shea is registered as a 17 contractor in Washington under License No. SHEAHI*997D1. Shea is the developer and builder 18 of Trilogy at Redmond Ridge, which is located in King County, Washington.

19 III. JURISDICTION AND VENUE 20 11. The events and actions alleged herein took place in King County, Washington. 21 The homes which are the subject of this suit are located at Trilogy at Redmond Ridge, which is 22 in King County. At all relevant times, Shea has been doing business in King County, 23 Washington, and continues to do so to this day. 24 12. The United States District Court for the Western District of Washington has 25 jurisdiction over this matter pursuant to 28 U.S.C § 1332(a). Plaintiffs are residents of 26 Washington, and Shea is a resident of Delaware and . After trebling under the

27 1 Where more than one Plaintiff has owned a single home (i.e., the home has been sold at least once since it was 28 sold by Shea), all Plaintiffs who have owned such home are listed as owners. See Exhibit 1. COMPLAINT - 6

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1 Washington Consumer Protection Act, alleged herein, each Plaintiff’s damages will exceed 2 $75,000 exclusive of interests and costs.

3 IV. FACTS 4 13. Shea is a national company in the business of building and selling new homes and

5 developing master-planned communities. Trilogy is one of at least 11 “resort communities” that 6 Shea has developed. 7 14. Shea has developed and built housing developments across the United States,2 8 but, prior to building Trilogy, Shea had never built a development farther north than the 39th 9 parallel (Denver). Trilogy, in contrast, is above the 47th parallel and thus over 550 miles farther 10 north than any prior Shea development.3 Moreover, all of Shea’s listed developments prior to 11 Trilogy are in arid, if not desert locales. Building practices that worked adequately in Shea’s 12 other developments would provide no baseline of effectiveness in the comparatively very wet 13 Pacific Northwest. 14 15. Trilogy is a planned adult (age 55 and over) community of 1,522 single-family 15 “production” homes within 12 divisions. Division Four is a commercial area and Division Seven 16 is a community center. 17 16. Trilogy consists of residential homes built in 23 different models, based on square 18 footage and design, each with two or three “elevation” options. Some of the homes are zero lot 19 line homes, and they share a party wall with an adjacent Trilogy home.

20 A. The Design, Development and Approval of Trilogy at Redmond Ridge 21 17. Shea retained Mithun Architects, a Seattle-based firm, to serve as lead architect 22 on the Trilogy project. The partner in charge at Mithun, Bill Kreager, was and is one of the 23 country’s leading architects for residential communities, and he has particular knowledge of the 24 primary concerns of the over-55 demographic in purchasing a home. One primary concern for 25

26 2 Shea’s website, www.sheahomes.com, lists developments in the Phoenix area of ; throughout 27 California from the Bay Area southward; the Denver area of ; central ; Las Vegas, ; Charlotte and Greensborough, ; Houston, ; northern Virginia; and the Seattle Area (Trilogy). 28 3 Each degree of latitude is approximately 69 miles distant from the next. COMPLAINT - 7

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1 those over 55 is a low-maintenance home, which Shea knew from conducting focus groups in the 2 Redmond area before commencing construction. 3 18. Even prior to beginning the design of the homes at Trilogy, Mr. Kreager visited 4 Shea projects in Arizona to observe Shea’s methods and style of construction. Upon viewing 5 those Shea communities in the Southwest, Mr. Kreager warned Shea that its Arizona 6 construction methods, which depended on dry weather – including stucco and slab-on-grade 7 construction – were not suitable for home construction in the much wetter Pacific Northwest. 8 19. Mithun Architects reviewed climate records for Trilogy before designing a single 9 model. It learned that the Redmond Ridge area has a particularly wet climate – indeed, it 10 receives 40 inches or more of rain each year on average, as compared with 32 inches in Seattle, 11 and just 8.2 inches in Phoenix.4 12 20. Because of the wet climate in the Pacific Northwest and particularly wet climate 13 at Redmond Ridge, and its knowledge that Trilogy homebuyers’ (55+ in age) would desire low- 14 maintenance homes, Mithun Architects designed homes that included metal flashing on all 15 protruding wood such as at windows and doors and on corbels and columns. 16 21. The flashing details in the building plans were extensive and numerous, and they 17 were included in every model of home that Mithun Architects designed for Shea to build at

18 Trilogy. 19 22. The diagram below is an excerpt for Model 6220, the “Hemlock,” which is the 20 most common design built at Trilogy. At least 240 of the Plaintiffs in this action own Hemlock 21 model homes. These approved plans show Mithun Architects’ intent, and the County’s approval 22 requiring, that flashing be installed on the protruding wood features. 23 24 25 26 27

28 4 See http://www.currentresults.com/Weather/Arizona/yearly-average-precipitation.php. COMPLAINT - 8

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1 2 3 4 5 6 7 8 9

10

11 23. Mithun Architects’ drawings incorporated a soils report prepared by Associated 12 Earth Sciences, Inc. (“AESI”), the geotechnical engineering firm retained to investigate the 13 hydrology and geology at the Trilogy building site. AESI concluded that the site was suitable for 14 construction provided its building recommendations were followed. 15 24. AESI’s recommendations included the installation of a capillary break (pea 16 gravel) and a moisture barrier (visqueen) under the concrete garage slabs to be poured at Trilogy. 17 25. Shea submitted its building plans for Trilogy, including the Mithun Architects’ 18 drawings incorporating metal flashing and the AESI report incorporating the capillary break and 19 moisture barrier, to the King County Building Services Division in the Department of Permitting

20 and Environmental Review (“DPER”) under the “Basics” program. 21 26. The Basics program was set up for larger, more experienced builders who were 22 going to build the same floor plan multiple times. Basics program plans are reviewed with 23 heightened scrutiny by the Building Services Division because if anything is missed, it could be 24 repeated in each home the builder constructs based on that County-approved plan. 25 27. The Building Services Division expects that a builder in the Basics program 26 knows how to build homes in accordance with applicable building code and local industry 27 28 COMPLAINT - 9

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1 standards. The Building Services Division reviewed Shea’s plans independent of the site plan 2 and, once approved, stored the approved plans in its library and cataloged them. 3 28. For each home building site, a builder in the Basics program could come into the 4 Division with the site plan indicating which plan approved in the Basics program it would use for 5 that specific home site, as well as any additional information that the builder needed to provide 6 to accommodate the site conditions. In this manner, the Basics program sped up the permit 7 process and Shea used it exclusively in building the 1,522 homes at Trilogy. 8 29. Once King County had issued the site building permit, Shea was obligated to 9 build exactly according to the approved plans. If Shea wanted to make site-specific revisions, 10 the Basics program had a revision process by which Shea could seek revisions for a specific 11 permit. Absent an error in the approved Basic plan, site-specific revisions to plans in the Basics 12 library were rare. 13 30. If a Basics program builder wanted a revision, it had to submit new plans to the 14 Basic program and get a new plan approval from the County, i.e., start the process all over again. 15 31. As relevant to the facts of this case, for example, Shea’s elimination of the metal 16 head flashings that Mithun Architects had specified for every plan at Trilogy was a design 17 revision that required it to submit new plans. But as Jane McPherson from the Building Services 18 Division has testified in a related case, King County would never have approved such a revision. 19 32. Indeed, Shea submitted numerous supplemental design sheets during the 12 years 20 of active building at Trilogy to address code-required updates to the plans, but Shea never 21 altered or eliminated from the County-approved drawings the architect’s details requiring metal

22 flashings on the homes Shea was building at Trilogy. All the while, Shea was building the 23 homes without these same required flashings.

24 B. The “Shea Way”: the Manufacturing Process Utilized by Shea at Trilogy 25 33. Shea let it be known to Building Services Division personnel that the level of 26 scrutiny that King County required was not what Shea was used to and not how things were done 27 in the Southwest, where Shea had built its prior projects. 28 COMPLAINT - 10

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1 34. Shea challenged virtually every requirement in an effort to reduce its building 2 costs at Trilogy. It “value engineered” its houses so that, for example, Shea built with the exact 3 minimum number of nails. It created a climate during construction at Trilogy that encouraged 4 and often required subcontractors to cut corners wherever possible. 5 35. Shea’s corner cutting at Trilogy became so renowned that its subcontractors, who 6 Shea dubbed “TradePartners,” coined the phrase “the Shea Way” to describe Shea’s relentless 7 focus on the bottom line, including minimizing construction costs and maximizing the speed at 8 which Trilogy homes were built. 9 36. During the course of construction, Shea repeatedly demanded unilateral and 10 immediate price reductions from its TradePartners – by as much as 13% – under threat that if the 11 TradePartner did not cut its price for doing the same scope of work, Shea would put the work 12 back out to bid.

13 1. Shea Cut Corners on Garage Floors – Shea omitted moisture barriers and capillary breaks on at least 958 Trilogy homes. 14 37. Shea began cost cutting at Trilogy right at the bottom with its first homes: Shea 15 ordered its concrete subcontractors to pour driveways and garage slabs over uncompacted and wet 16 ground without draining the site as the plans required. It omitted the gravel and moisture barrier 17 that its geotechnical engineer required Shea to install under the garage slabs. 18 38. In late 2000 or early 2001, Shea Homes contacted a concrete contractor, Artistic 19 Concrete Design, Inc. (“Artistic”) to bid the Trilogy project. Shea’s project manager, Alexander 20 (“Zander”) Hawxhurst, contacted Artistic’s president, Raymond Harvie, for a pre-construction 21 meeting to do a job walk and discuss the project. At that meeting, Hawxhurst provided 22 approximately 16 full sets of building plans (drawings) to Artistic. He asked Mr. Harvie to bid each 23 plan set for turn-key installation of all concrete hardscapes which included: garage floors, patios, 24 sidewalks, entry, and driveways. Shea required that each concrete subcontractor’s bid include costs 25 for all labor, materials, pumps, tools, and equipment to complete the work. Artistic’s original 26 estimate for the Trilogy project was based on the plans Shea provided and included labor, concrete, 27 any necessary concrete pumps, rebar, moisture barrier, and other materials. Artistic did not provide 28 COMPLAINT - 11

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1 any lot excavations or slab base preparation (i.e., import or export of structural base, or removal of 2 spoils). These services were provided by different Shea subcontractors. 3 39. After Mr. Harvie submitted Artistic’s bid for the Trilogy at Redmond Ridge project, 4 Hawxhurst told Mr. Harvie to remove from his bid the line items for rebar and moisture barrier. 5 This surprised Mr. Harvie, considering that Artistic had quoted a price of just 15 cents a square foot 6 to install the moisture barrier the plans required. 7 40. Shea’s decision to remove the moisture barrier from the scope of work for the garage 8 slabs caused Mr. Harvie great concern. At a follow-up meeting with Hawxurst, Mr. Harvie told 9 Hawxhurst that moisture barriers were industry standard here in the Northwest due to the amount of 10 rain, the proclivity of hydrostatic water intrusion, and the underground springs so common in this 11 area. Hawxurst told Harvie that Shea was not required to install a moisture barrier or rebar under the 12 garage slabs at Trilogy, and therefore, it wouldn’t do so, regardless of the local conditions. 13 41. Mr. Harvie warned Hawxhurst, Ken VanWestrienen, and other Shea representatives 14 about the risks of using Shea’s standard Arizona construction practices (i.e., slab over bare dirt 15 foundations and footings, stem wall foundations, no moisture barrier) here in the Pacific Northwest. 16 Mr. Harvie recommended to the Shea group that it listen to the local builders and re-think Shea’s 17 building practices to avoid almost certain long term failures. Despite the advice, Shea stuck to the 18 Shea Way, cutting corners (and costs) wherever possible. 19 42. As Hawxhurst directed him, Artistic removed all rebar and moisture barrier pricing 20 from its bid package, and Artistic ultimately poured Trilogy garage slabs directly onto bare soil per 21 Shea’s instructions. Shea instructed other concrete subcontractors to bid their work the same way. 22 43. As Mr. Harvie predicted, hundreds of the Shea Way garage slabs have failed. 23 Lacking the moisture and capillary breaks, the garages suffer from standing water, chemical 24 deposits (“efflorescence”), ugly stains, or all three of these conditions. The photographs below 25 are Trilogy garages that show the result of pouring the slabs without the required moisture 26 barriers or capillary breaks underneath: 27 28 COMPLAINT - 12

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13 14 15 16 17 18 19 20 21 22 23 24 25 26 27

28 COMPLAINT - 13

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1 44. Even at houses where Shea attempted to conceal the problem by installing plastic 2 tiles on top of the wet garage floor before selling the home, evidence of the problem is now 3 apparent as efflorescence makes its way up through the joints in the plastic tiles: 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19

20 45. Homebuyer surveys completed in 2002 at Shea’s request, and recently obtained 21 from Shea’s files, demonstrate that Shea knew of the water problems caused by the Shea Way of 22 construction at the beginning of the Trilogy building cycle. Pursuing cost savings over quality, 23 Shea continued to pour concrete over bare, wet dirt, and ignored its consultant’s requirements to 24 keep the garages dry. Shea simply ignored the County-approved plans. 25 46. The following examples, from three different surveys of early Trilogy 26 homebuyers in 2002, show Shea was clearly on notice that its construction was inadequate: 27 28 COMPLAINT - 14

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1  “Since living in the home for six weeks, I have found troubling quantities of water underneath the house. This appears to be due to 2 improper and misdirected drainage set-up.”  “Drainage grades were very poor on lots. Severe problems with 3 water in crawlspace.” 4  “Customer service is still trying to fix loose flooring and wet crawl space. We have been given several reasons for the wet crawl 5 space. Had to pay for an expert to evaluate water drainage problem and have had to remind Shea that the work needs to be 6 done.” 7 47. The added emphasis immediately above has proved, over the years, to be an 8 important and consistent part of Shea’s strategy in responding to Trilogy homebuyers and 9 prospective homebuyers who called out the water issues in homes at Trilogy. Shea concocted a 10 string of false explanations as to why its homes were exhibiting atypical problems for new 11 homes, particularly given that they were built and marketed as high-quality and low- 12 maintenance. Shea would, for example, tell homeowners that water coming up through the 13 garage floor was “typical” of the Northwest, or that efflorescence was a consequence of concrete 14 “curing.” Shea also developed internal “scripts” for its personnel to use with homeowners to 15 explain away these various defects and resulting problems, all while failing to disclose that it 16 knew exactly what the real source of the problem was: the Shea Way. 17 48. One of the first Trilogy buyers who noticed water in their crawlspace and a wet 18 garage floor contacted a drainage contractor, Bodine Construction, to assess the drainage at their 19 new Trilogy home. Bodine found extensive problems with the drainage and prepared reports 20 documenting the issues. In January 2003, Shea contacted Bodine: 21 22 23 24 25 26 27 28 COMPLAINT - 15

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14 49. Steve Bodine met with the Shea team. He also forwarded them a basic article on 15 drainage for their edification: 16 17 18 19 20 21 22 23 24

25 26 27 28 COMPLAINT - 16

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1 2 3 4 5

6 50. Shea ultimately hired Bodine to perform drainage inspections on over 100 homes 7 at Trilogy in 2003. Bodine found numerous problems and provided Shea with written reports 8 complete with color photographs. Bodine determined that even the clubhouse at Trilogy 9 required over $40,000 in drainage remediation work well after it was completed. Bodine’s 10 inspections revealed several inches of standing water in crawlspaces, a lack of pea gravel, and 11 other defects, including in a home that Shea currently had on the market. 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 51. Shea never disclosed any of these conditions to prospective Trilogy buyers, and 27 never told any prospective buyers or owners at Trilogy that, despite the known, wet conditions 28 COMPLAINT - 17

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1 on Redmond Ridge both above and below ground, it had directed its concrete subcontractors to 2 omit the engineer-required pea gravel and moisture barrier from their scope of work in pouring 3 the garage slabs. 4 52. To the contrary, Shea promised that its foundations systems were “engineered for 5 local soil types to ensure greater structural integrity,” and that it took extra steps to ensure proper 6 drainage: 7 8 9 10 11 12 13 14 15 53. Early in 2003, as Shea’s recently disclosed internal files revealed, Shea customer 16 service personnel – who were either unaware of Shea’s omission of the moisture barrier and pea 17 gravel under the garage slabs or were directed by their superiors to search for an excuse – began 18 researching the possible cause of water intrusion and efflorescence on the garage floors at 19 Trilogy. They obtained a concrete industry article that indicated the likely source: lack of 20 moisture barrier and capillary break. 21 54. Rather than reveal the problem to homebuyers or change its construction practices 22 (adding perhaps $50 to the cost of each home for the plastic and gravel), Shea began concocting 23 false explanations. In early 2005, Shea wrote to multiple homeowners: 24 25 26 27

28 COMPLAINT - 18

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1 55. Instead of coming clean and admitting the true source the problem, Shea blamed 2 the wet garage floors on a change in the temperature: 3 4 5 6 7 8

9

10 56. Shea had not actually obtained or read the referenced article, but instead copied 11 the reference from a Yahoo search result for “wet garage floors,” which was intended in answer 12 to a question about wet garage floors after a drop in temperature in Louisiana: 13 14 15 16 17 18 19 20 21 22 23 24 25 26

27 28 COMPLAINT - 19

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1 57. A short time after Shea provided that inaccurate explanation to Trilogy 2 homeowners, Shea representative Ella Montgomery contacted its Arizona concrete contractor, 3 Jim Bebout, regarding the garage floor problem at Trilogy. Mr. Bebout’s response was 4 straightforward: 5 6 7 8 9

10 58. Mr. Bebout went on to describe the only two methods of dealing with the 11 problem, and both methods require removal of the garage slab. He also wrote: 12 13 14 15 16 17

18 59. Nevertheless, more than a year later, Shea was still building garage slabs without 19 the required moisture barrier and capillary break (even though it had already been forced to 20 replace a few slabs and install these omitted construction elements). And, as a recently obtained 21 internal Shea document demonstrates, Shea was even considering using a sealer despite its own 22 Arizona concrete subcontractor having advised against it: 23 24 25 26 60. Without justification, Shea refused to repair or replace its defective garage slabs. 27 Instead, Shea used a widely discredited calcium chloride test for water transmission through the 28 slab, but told homeowners: (1) that the test could only be performed in the dry months; (2) that COMPLAINT - 20

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1 the test results could not be shared with the homeowner; and (3) that the test result was just “one 2 of several factors” that Shea considered in deciding whether a particular garage slab should be 3 replaced. All the while, Shea was building homes on sites so wet that—even in summer months 4 like August—they contained deep standing water as in the photograph below. 5 6 7 8 9 10 11 12 13 14 15 16 17 18

19 20 61. Finally, on October 3, 2006, Shea began installing moisture barriers under garage 21 slabs on the homes it was building at Trilogy. But by that time, Shea had built 958 Trilogy 22 homes without the required moisture barrier or drain rock. To date, Shea has replaced 101 23 garage slabs, installing moisture barriers before re-pouring those slabs. But 871 defectively 24 constructed and installed garage slabs remain at Trilogy. Each homeowner was subject to the 25 same omission by Shea, namely it omitted to tell them that the garage slabs were not constructed 26 and installed according to the County-approved plans and soils report. And each homeowner has 27 suffered the same result: water and efflorescence percolate through their garage slab. 28 62. At least 388 of the Plaintiffs in this action have garage slabs defectively COMPLAINT - 21

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1 constructed without drain rock and moisture barriers.

2 2. Shea Cut Corners on Corbels – Shea Omitted Metal Flashing on Corbels and Knee Braces. 3 63. Certain models of Trilogy homes, including at least 70 of Plaintiffs’ homes, have 4 knee braces and/or corbels. A knee brace extends off the house with a horizontal, 6”x6” timber 5 supported by a vertical member flush against the house and an angled member creating a 6 triangle. A corbel or outlooker is the horizontal member by itself. (Sometimes the terms 7 “corbel” and “knee brace,” are used interchangeably.) Both corbels and knee braces can be seen 8 in this photograph of a Trilogy home: 9 10 11 12 13 14 15 16 17 18 19 20 21

22 64. In the photo, there is a knee brace in the foreground and another at the peak of the 23 roof below the fascia. There are several corbels that run across the top of the garage. Although 24 corbels and outlookers may look good from ground level to unsuspecting Trilogy home buyers 25 and owners, Shea omitted the required metal flashing from atop knee braces and corbels at 26 Trilogy from 2002 to 2012. As a result, regardless of how well a homeowner maintains their 27 home, the corbels and knee braces rot. 28 COMPLAINT - 22

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1 65. The four photographs below are from one Trilogy home shortly before and during 2 the removal and replacement of the knee braces and corbels: 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 66. Trilogy home buyers Bill and Diane Fehr had to replace the corbel shown in the 22 photo below and numerous others at their Trilogy home after Shea had “repaired” them once 23 already, and despite the Fehrs’ regular maintenance of their home’s exterior: 24 25 26 27 28 COMPLAINT - 23

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17 67. An internal Shea document recently obtained shows that in August 2009, Shea 18 calculated its “Exposure by Plan” for each of the home plans (models) at Trilogy based on its 19 omission of the flashing from the corbels and knee braces. Shea calculated that the cost of 20 replacing those components on the 671 homes that it had built by that time was in excess of $1.4 21 million. 22 23 24 25 26 27 28 COMPLAINT - 24

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19 20 68. Despite having to replace rotted corbels on its model homes, and intentionally 21 omitting the structurally required ½” lag bolts, Shea continued to build homes with unflashed 22 corbels and knee braces until 2012, and all the while Shea told homeowners that their rotting 23 corbels were due to a lack of adequate “homeowner maintenance.” On the model homes that 24 Shea repaired and then sold to unsuspecting buyers, Shea asserted in an internal document that 25 the rotting corbels would be attributed to “homeowner maintenance” after the sale. As with all 26 its omissions, Shea never disclosed to any buyer the deviations from approved plans. 27 69. Rotted corbels and knee braces have fallen off of several Trilogy homes. Shea 28 even secretly replaced one such fallen corbel, using a work crew that Shea specifically instructed COMPLAINT - 25

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1 not to wear the Shea-standard, blaze orange work shirts. Shea was so intent on hiding its need to 2 repair the failing corbels that it took great pains to deceive the Trilogy homeowners so they 3 wouldn’t learn that the failing corbels were not a “homeowner maintenance” issue but rather 4 were a problem of Shea’s own making. 5 70. As Shea discovered more and more rotting corbels between 2009 and 2011, it 6 looked for ways to limit its potential $1.44 million “exposure.” Shea settled a pending class 7 action lawsuit involving only failing and moldy paint, known as the “Gaines Litigation” or 8 “MOTH (Mold on the Houses) Litigation.” It then claimed that it had intended to include all 9 possible construction defect claims within that limited settlement. After settling the paint case, 10 Shea personnel circulated an internal email dated October 24, 2011 which, after studying the 11 plan to contend it had settled all possible defect claims, concluded that the Gaines settlement 12 could not be interpreted so as to include the rotting corbels and columns. 13 71. Nevertheless, Shea personnel – including Area Vice President Richard 14 Obernessor, in June 2012 – advised Trilogy homeowners after the October 24, 2011 email that 15 any claims regarding rotted corbels were barred by the prior class action settlement. Indeed, 16 Trilogy homeowners Bob and Gwen Blough received that explanation from Patti Conrad of Shea 17 in a letter dated May 31, 2012: 18 19 20 21 22 23 24 25

26 27 28 COMPLAINT - 26

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1 72. And Shea made the same, false assertion in a subsequent legal action, Blough, et

2 al. v. Shea Homes, Inc., both in arbitration in December 2012 and in its failed Motion to Dismiss 3 filed in that action in July 2013. 4 3. Shea Cut Corners on Columns – Shea Omitted Water Intrusion Elements on 5 Every Column It Built at Trilogy 6 73. The architect’s plans required flashings on the tops of columns to prevent water 7 entry, and weep screeds at the bottom to allow any water that entered the column to escape. 8 These elements are essential to prevent rot. Omitting either component will lead to water 9 damage. Nonetheless, consistent with the Shea Way of doing business, Shea omitted flashing on 10 most columns and omitted the weep screed on every column at Trilogy. 11 74. After seeing many of the columns fail and repairing its own model homes, in 12 2007 Shea quietly investigated the cause of the failing columns on numerous homes at Trilogy. 13 It inspected homes without informing the homeowners so as not to arouse concern. Shea 14 concluded that “water is penetrating the cavity of the column in several ways. This has [caused] 15 and is currently causing damage to the different building materials used in the construction of the 16 column.” The report’s author also wrote, “I noticed that the footing or base of each column sits 17 below the flatwork of the home. This is a major concern that will cause water to penetrate from 18 the bottom up. The column base should be set above flatwork just as porch columns are done in 19 a typical installation practice.” 20 75. The report noted that the columns had been rotting from the inside out, that this 21 process likely began “soon after installation of the building materials,” and that “all materials 22 will eventually erode and challenge these areas as time moves forward.” The author questioned 23 whether the information should be shared with Trilogy owners. Not surprisingly, Shea kept the 24 report and its findings a secret. 25 76. In 2009, an internal Shea email by Shea’s area vice president acknowledged “a 26 struggle on the columns from the outset” of the project. And in 2011, an internal Shea email 27 acknowledged that columns were not built to plan and noted, “It states clearly on the plans that 28 COMPLAINT - 27

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1 the plan is for the architectural design and that flashing and weatherproofing are the 2 responsibility of the contractor.” 3 77. Despite this clear knowledge, Shea advised Trilogy homeowners that the column 4 failures were a “homeowner maintenance” issue. Here is an example of just one Trilogy 5 homeowner’s problems with her columns, in spite of the fact that she regularly and properly 6 caulked and painted per Shea’s recommendation: 7 8 9 10 11 12 13 14 15 16 17 18

19 78. A close-up of the column shows it was well-painted and caulked: 20 21 22 23 24 25 26 27 28 COMPLAINT - 28

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1 79. The well-maintained caulk and paint hid the ugly truth that only Shea knew: 2 3 4 5 6 7 8 9 10 11 12 13

14 15 16 17 18 19 20 21 22 23 24

25 26 27 28 COMPLAINT - 29

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1 80. The column was built without a weep screed, and there is no concrete supporting the 2 framing. As a result, the entire column, like every other column at Trilogy, must now be 3 replaced. 4 5 6 7 8 9 10 11 12 13

14 81. The same condition can be found upon opening columns throughout Trilogy, 15 including at many other Trilogy homes such as this one: 16 17 18 19 20 21 22 23 24 25 26 27 28

COMPLAINT - 30

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1 82. As with corbels and knee braces, Shea replaced failed columns on its own model 2 homes before selling them, but it never revealed this problem to its customers. Instead, corporate 3 policy required its customer service representatives to tell the future owners, and all other 4 Trilogy homeowners, that the water problems were attributable to “homeowner maintenance.” 5 83. Shea never disclosed its knowledge that columns throughout Trilogy were rotting 6 from the inside because of the corners Shea cut in construction. Shea chose to continue building 7 the inherently defective columns, knowing the problems would not reveal themselves until after 8 the one-year warranty period ended. At that point, Shea could and did blame the problems on 9 “homeowner maintenance” without ever revealing that it had omitted key construction 10 components and that it knew the columns had been rotting from the date they were built.

11 4. Shea Cut Corners on Windows and Doors – It Omitted the Required Head Flashings 12 84. The architect’s plans for Trilogy approved by the County included several details 13 requiring a head flashing above all windows and doors such as the one shown above in 14 Paragraph 25 from the Hemlock plans. The architect had contemplated flashings on all windows 15 and exposed trim from very early on, including in a letter to Shea dated May 22, 2001 which 16 included, among recommended specifications: 17

18 19 85. Shea’s own, subsequent specifications for the project dated October 8, 2001 20 likewise called for these flashing details to be followed: 21 22

23 86. And the window manufacturer, Milgard, also provided Shea with installation

24 standards that include a head flashing, but Shea rejected it, as evidenced by a document obtained 25 from Shea’s internal files: 26 27 28 COMPLAINT - 31

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9 87. To save a few bucks per house, however, and rather than build the homes at 10 Trilogy as required by: (1) the architect; (2) the County; (3) the building code; (4) the window 11 manufacturer; and (5) even its own specifications, Shea simply omitted the 26-gauge metal 12 flashing and eliminated the 2x4 trim above the windows during the first seven years of 13 construction at Trilogy and into 2008 – by which time Shea had sold the large majority of homes 14 and reaped the profits from its deceptive practices. 15 88. Shea’s siding contractors, just like Shea’s concrete contractor, urged Shea to 16 follow the plans and install the necessary flashings. As with the other advice it received, Shea 17 ignored it and instructed its siding contractor to run the horizontal lap siding right up to the 18 windows and doors and then slap cheap 1x4 white wood on top of the siding as “trim.” As a 19 result, water makes its way behind the trim causing rot damage to the trim and siding from the 20 inside that is hidden from the unsuspecting Trilogy homeowner. 21 89. Only several years later, when the rot has made its way to the exterior of the trim, 22 does a homeowner learn the consequence of Shea’s omission of the head flashings. Here is a 23 window on one Trilogy home, and you can see that water has made its way behind the trim and 24 is coming out the bottom: 25 26 27 28 COMPLAINT - 32

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11 90. This water intrusion leads to unseen rot, such as on this Trilogy home: 12 13 14 15 16 17 18 19 20 21 22 23 24

25 26 Trim showing decay and fungal growth Backside of removed trim 27 28 COMPLAINT - 33

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1 91. The same condition reveals itself around unflashed doors, all as a result of Shea’s

2 omission of head flashing: 3 4 5 6 7 8 9 10 11 12 13 14

15

16 Rot discovered under paint Close-up of rot at door trim 17 92. Shea’s own expert has acknowledged under oath that Shea omitted head flashing 18 above doors throughout the project. 19 5. Shea Cut Corners on Patios – Shea Omitted Flashing at the Patios 20 93. At every home at Trilogy, Shea omitted the flashing at the patio-to-wall interface, 21 and instead Shea poured concrete directly against wood siding. This was in violation of the 22 building code, industry standards, and the architect’s recommendations. 23 94. In 2002, the architect provided a Shea-requested detail but specifically noted that 24 Shea’s plan to pour the patios against the wood rather than the foundation was not recommended: 25 26

27 28 COMPLAINT - 34

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1 95. Shea’s subcontractors likewise urged Shea not to pour concrete patios against the

2 wood and to install an L-metal flashing. But Shea omitted the flashing. The patios poured at 3 Trilogy “pull” the house down when settling, such as what occurred at this Trilogy home: 4 5 6 7 8 9 10

11 96. And Shea’s failure to install an L-metal flashing also means that water makes its 12 way down between the patios and the wood, which leads to damage such as at this Trilogy home: 13 14 15 16 17 18 19 20 21 22 23

24 97. As with corbels, knee braces, and columns, Shea replaced damaged wood due to 25 26 missing patio-to-wall flashing on one of its own model homes before selling it. 27 28 COMPLAINT - 35

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1 6. Shea Cut Corners on Exterior Walls — Shea Omitted Flashing at the Stone Veneer Wainscoting 2 98. Shea omitted flashing where the stone wainscoting meets the wood trim above. 3 99. The photograph below depicts an example of the stone veneer wainscoting on one 4 home at Trilogy: 5 6 7 8 9 10 11 12 13 14 15 16 17

18 100. The architect’s drawings approved by King County required the installation of a 19 flashing at the wainscoting: 20 21 22 23 24 25 26 27 28 COMPLAINT - 36

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13 101. Shea failed to install the required flashing on 851 Trilogy homes. And Shea 14 failed to acknowledge its omission even when homeowners such as this one raised concerns: 15 16 17 18 102. The lack of flashing above the wainscoting prevents water from draining away 19 from the wall, allowing water to remain against the wood behind the impermeable wainscoting 20 materials and causing rot behind and above the wainscoting. The photo below is of a Trilogy 21 home with rot – including visible mushrooms growing – atop the unflashed wainscoting: 22 23 24 25 26 27 28 COMPLAINT - 37

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1 2 3 4 5 6 7 8 9 10 11 12 13 14 7. Shea Cut Corners on Decks – Shea Omitted the Flashing at the Deck-To- Wall Interfaces 15 103. The approved plans for Trilogy required a water resistant membrane to be 16 installed where the decks meet the house. This requirement was in the original drawings for 17 Trilogy and all modified versions: 18 19 20 21 22 23

24 25 104. A similar detail was included in the permitted drawings for individual decks built 26 by Shea at Trilogy after original construction, such as this detail from Lot 1165 at Trilogy which 27 clearly shows that flashing is required: 28 COMPLAINT - 38

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1 2 3 4 5 6 7 8 9 10

11 12 105. Shea built the decks at Trilogy directly against the siding and/or wood trim, like at 13 the Trilogy home shown here: 14 15 16 17 18 19 20 21 22 23 24

25

26 106. If installed, the flashing allows water to escape from behind the siding onto the 27 deck while also preventing water from making its way down into the deck-to-wall joint, where it 28 COMPLAINT - 39

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1 can cause rot. That z-flashing is required if the deck is not built at least two inches below the 2 siding, as required by the building code, the siding manufacturer, and standard good building 3 practice: 4 5 6 7 8 9

10 107. When homeowners inquired about the missing flashing, Shea misrepresented its 11 obligation to install such flashing. For example, one new Trilogy homeowner wrote to Shea in 12 2012 expressing several concerns with her deck, including the missing flashing:

13 I noticed there is no mention of the flashing that is missing where the deck is attached to the house. The bolts are just screwed right into the siding on the house. Flashing is definitely needed. I assume you will also be fixing 14 this so I don’t have any eventual water damage from the rain water getting in behind and under the siding. 15 108. Patti Conrad of Shea responded to her with this inaccurate statement: 16

17 109. As a result of Shea’s omission of the required flashing at the deck-to-wall 18 interface, water damages Trilogy homes at that interface. The photograph below shows an 19 example of the rot damage that results and that can go unseen for years under the exterior paint: 20 21 22 23 24 25 26 27 28 COMPLAINT - 40

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1 2 3 4 5 6 7 8 9 10 11 12 13 14 8. Shea Cut Corners on Drainage – Shea Installed Inadequate Drains and Ventilation in Crawl Spaces 15 110. As noted above, Shea had extensive knowledge very early on in its construction 16 of Trilogy that its home sites had inadequate drainage, that homes suffered standing water in the 17 crawlspaces and yards, and that as a result of the moisture many homes suffered hardwood floor 18 damage including cupping, warping, and separation. Shea agreed to replace numerous hardwood 19 floors at Trilogy (while denying the existence of a problem or any liability to other Trilogy 20 homeowners), and when in 2006 Shea tried to blame its flooring supplier, Superfloors, Shea got 21 a swift rebuke from Superfloors explaining the problem again, as it had previously: moisture. 22 23 24

25

26 111. Shea ignored the advice and did nothing to address the moisture problems. It 27 should have been no surprise to Shea when, a year later, Superfloors submitted an independent 28 COMPLAINT - 41

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1 inspector’s report to Shea regarding another Trilogy home with moisture problems and failing 2 floors. The inspector’s conclusions were the same: 3 4 5

6

7 112. Shea still concealed and refused to acknowledge that it had caused the problems 8 by refusing to spend the money necessary to install the proper drainage at Trilogy. Shea 9 continued this ruse for years, including two years later when, in 2009, Shea made an insurance 10 claim to recover the costs of replacing that very floor due to the moisture damage. Shea 11 represented to its insurer that the floor was damaged during other repair work: 12 13 14 15 16 17

18 113. Shea made numerous other insurance claims and recovered money for hardwood 19 floors Shea replaced due to excessive moisture, while at the same time Shea was telling other 20 homeowners that it was not responsible for their floor problems. 21 114. Shea installed crawlspace fans in various homes but concealed the real reason for 22 having done so. Shea even prepared a script (“external conversations”) for customer service 23 representatives (“CSRs”) to use in explaining the crawlspace fans to homeowners, with a 24 separate, explanatory section (“internal information”) for the CSRs’ eyes only that has 25 contradictory information and demonstrates that Shea’s representations to owners were 26 intentionally deceptive. 27 28 COMPLAINT - 42

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1 115. Shea has continued its unfair and deceptive practice regarding its omitted 2 drainage and damage right through to 2014, professing to have no knowledge of ongoing 3 drainage problems at Trilogy. Patti Conrad, a Shea CSR, wrote to Plaintiff Jim Green in 2014, 4 concocting a slew of false reasons for the problems with moisture and hardwood floor failures at 5 Trilogy homes. Wrote Ms. Conrad:

6 As a builder, Shea Homes cannot control over what has occurred over the many years the home has been occupied, specific to weather conditions, additional hardscaping in 7 the back of the home, augmented landscaping and the natural movement and 8 evolution of the protected wetland directly behind this home. 116. By the time Ms. Conrad of Shea wrote this in April 2014, Shea had known for 12 9 years that its defective drainage saturated the ground under and around the Trilogy homes. The 10 virtual ponds below the hardwood floors were breeding grounds for mold and damaged the 11 floors, such as occurred at the Greene home and many other plaintiffs’ homes. 12 9. Shea Cut Corners on Driveways – Shea Poured Slabs Directly Over Wet Soil 13 and During Heavy Rains 14 117. Shea poured driveways at Trilogy on uncompacted, wet soil, and as a result 15 driveways are failing in multiple divisions throughout Trilogy. Shea knew that its methods of 16 construction were causing driveways to fail as far back as 2003, as indicated by a homeowner’s 17 email to Al Seaton of Shea: 18 19 20 21 22 23 24

25

26 118. Just as it refused to compact the soil below the garage slabs and drain the crawl 27 spaces before building, Shea refused to alter its faulty construction practice. As a result, the 28 aggregate on the driveways spalls, as it has here at the home of Plaintiff Joan Myers: COMPLAINT - 43

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1 2 3 4 5 6 7

8 9 119. The failing, spalling driveways built by Shea lead to pooling water and further 10 failure. Failed aggregate pours into gardens, curb gutters, and storm water outfalls. 11 12 13 14 15 16 17 18 19 20

21 22 120. Shea replaced only a select few failed driveways, even making insurance claims 23 to recover the monies it spent correcting its own defective work: 24 25 26 27 28 COMPLAINT - 44

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11 121. True to the Shea Way, Shea continued to tell homeowners, including Plaintiff 12 Joan Myers and others, that the driveways were within industry standards, while at the same time 13 Shea customer service personnel mocked Trilogy homeowners, in internal emails, for their 14 “driveway envy.” 15 C. Plaintiffs’ Homes at Trilogy Are Defective and Require Extensive Repair 16 122. Every one of the more than 1,000 homes inspected prior to the filing of this 17 lawsuit, including all of Plaintiffs’ homes, has at least one of the defects described above. Most 18 homes, including hundreds of Plaintiffs’ homes, have many or all of the defects, and as moisture 19 and water continue to penetrate the construction at Trilogy, additional defects are currently being 20 exposed. 21 123. As set forth for each Plaintiff in Exhibit 1, each Plaintiff’s cost of repair and 22 stigma damages to their property value is expected to exceed $25,000. Treble damages as 23 allowed under the Washington Consumer Protection Act, RCW Ch. 19.86, bring each plaintiff’s 24 total damages to in excess of $75,000, exclusive of interest and costs. 25 124. Shea has admitted that for all 958 Trilogy homes at which the garage slab was 26 poured prior to October 3, 2006, Shea failed to install those garage slabs in the manner required 27 by its geotechnical engineer; namely, Shea omitted the moisture barrier and capillary break that 28 COMPLAINT - 45

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1 was to be installed prior to pouring the slab. Some homes have multiple garage slabs, including 2 a main garage and a second, smaller “hog pen.” Beginning sometime after October 3, 2006, 3 Shea replaced at least one garage slab at 101 different Trilogy homes. 4 125. There are 871 homes at Trilogy, including 388 of Plaintiffs’ homes, that have 5 defective garage slabs insofar as they were constructed without the required moisture barrier and 6 capillary break. Fourteen of the 101 houses where Shea has replaced one but not both slabs, will 7 require replacement of the remaining slab. 8 126. In 2009, Shea prepared an analysis of its “Exposure by Plan” for each of the 9 models at Trilogy that included knee braces or corbels. According to Shea’s own internal 10 analysis the total cost of replacing those components on the homes built to date exceeded $1.4 11 million. Shea did not replace those components, however, but instead continued building homes 12 at Trilogy through and including 2011 without flashing the knee braces or corbels. 597 homes at 13 Trilogy were built with defective corbels and knee braces, including Plaintiffs’ homes as set 14 forth in Exhibit 1. 15 127. Shea’s 2007 investigation of columns and one of its own experts concluded that 16 the footing or base of each column at Trilogy sits below the concrete flatwork of the home, and 17 that this is a major concern that will cause water to penetrate from the bottom up. Every home at 18 Trilogy with columns suffers from this defective manner of column construction. There are 687 19 homes at Trilogy that have defective columns that require repair, including Plaintiffs’ homes as 20 set forth in Exhibit 1. 21 128. On all of 1,275 of the homes that Shea built at Trilogy before May 1, 2008, Shea 22 omitted the required head flashings above every window. When Shea finally began installing the 23 required head flashings, it did so sporadically so that of the remaining 207 homes built after May 24 1, 2008, at least 75 additional homes lack required window head flashings. There are at least 25 1,350 homes at Trilogy that have defectively installed windows that require repair, including 26 Plaintiffs’ homes as set forth in Exhibit 1. 27 129. Shea’s own expert admitted under oath in a related lawsuit that none of the 28 architect-specified and county-required metal head flashing is installed above the doors at COMPLAINT - 46

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1 Trilogy. There are 1,522 homes at Trilogy that have defectively installed doors that require 2 repair, including Plaintiffs’ homes as set forth in Exhibit 1. 3 130. For every Trilogy home with stone veneer wainscoting, Shea omitted the required 4 metal flashing. There are 851 homes at Trilogy that have defectively installed stone wainscoting 5 that require repair, including Plaintiffs’ homes as set forth in Exhibit 1. 6 131. Shea’s own expert has admitted that concrete should not have been poured against 7 white wood as it was at Trilogy homes. All 1,522 homes at Trilogy have defectively installed 8 concrete patios, including Plaintiffs’ homes as set forth in Exhibit 1. 9 132. Shea failed to install the required flashing at the deck-to-wall interface of every 10 home at Trilogy with a deck, and those decks all require repair, including on the homes of all 11 Plaintiffs. 12 133. Shea failed to install the required drainage at many Plaintiffs’ homes, and as a 13 result these Plaintiffs have incurred or will incur thousands of dollars in drainage repairs, mold 14 remediation, and/or hardwood floor replacement. 15 134. Shea failed to properly compact the ground or pour the driveways at dozens of 16 Plaintiffs’ homes, and as a result these Plaintiffs have incurred or will incur thousands of dollars 17 in driveway repairs and/or replacement.

18 D. Shea Knows and Has Known for Years that Its Building Practices Are the Cause of the Defects in Homes at Trilogy, Yet it Refuses to Make Required Repairs and 19 Instead Requires Homebuyers to Make Costly Repairs Under its “Homeowner Maintenance” Rubric 20 135. Recently obtained, internal Shea emails and statements by Shea personnel are 21 shocking in their brazenness, including even outright mocking of homeowners for having 22 “column envy” or “garage envy” when, for example, Shea replaces one homeowners’ defective 23 component while giving a litany of baseless explanations to another homeowner as to why the 24 identical defect on her home is simply a “homeowner maintenance” problem. 25 26

27

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1 136. Shea customer service personnel responsible for responding to homeowner 2 complaints about problems with their homes even joked internally in emails that the numerous, 3 concealed defects on Trilogy homes guaranteed them: 4 5

6 137. Carolyn Young, Shea’s Customer Service Manager, recently explained 7 homeowner “envy” under oath: 8 9 10

11 138. For example, Ms. Young inspected the Nicholsons’ home and discovered that the 12 column, which supported a roof structure, in addition to being severely saturated with water, was 13 “missing the 4 x 4 structural support.” Ms. Young’s concern was not the structural integrity of 14 the home, but rather the neighbor’s “column envy”: 15 16 17 18

19 20 139. For years prior to Ms. Young writing this email in 2011, Shea already knew of the 21 widespread water intrusion issues occurring at Trilogy. In 2007, Shea commissioned an internal 22 report on columns: 23 24

25 26 140. Although Shea has represented to one court that these are “minor problems,” its 27 own internal analyses recently obtained clearly demonstrate that Shea has known from the outset, 28 COMPLAINT - 48

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1 but has never disclosed to buyers or owners at Trilogy, that these are serious and systemic 2 problems directly and solely attributable to Shea’s omissions. 3 141. These omissions were material in every respect. The Shea Way – of cutting 4 corners to cut costs, of misleading and deceiving elderly home buyers while internally mocking 5 them, and of flouting its own geotechnical engineer, its architects, the County, and its 6 subcontractors’ strong urgings throughout Shea’s construction, marketing, and sale of the homes 7 at Trilogy – was unanticipated and unknowable by every buyer at Trilogy.

8 V. EQUITABLE TOLLING OF STATUTES OF LIMITATIONS 9 142. Plaintiffs’ claims are subject to both equitable estoppel, stemming from Shea’s 10 knowingly and fraudulently concealing the facts alleged herein, and equitable tolling, stemming 11 from Plaintiffs’ inability to obtain vital information underlying their claims. Shea is estopped 12 from relying upon a statute of limitations defense because Shea purposefully concealed its 13 knowledge of the above-described defects, and Shea purposely concealed its failure to seek 14 approval from the King County Building Department for its modifications to, and omissions 15 from, the approved building plans. Separate and apart from Shea’s acts of concealment, any 16 applicable statutes of limitations are properly tolled because Plaintiffs did not know and could 17 not have learned the true facts underlying their claims until this year.

18 A. Equitable Estoppel 19 143. Shea is estopped by its own fraudulent concealment from asserting the statute of 20 limitations as an affirmative defense against Plaintiffs’ claims. Throughout the construction and 21 sales of homes at Trilogy, Shea repeatedly asserted that its homes were built in accordance with 22 the approved plans and its high quality standards. Continuing throughout its construction at 23 Trilogy and through to the present, Shea has asserted that it built all homes in accordance with 24 the building codes and industry standards. 25 144. Plaintiffs reasonably relied on Shea’s representations. 26 145. Shea had actual or constructive knowledge that it violated the local building codes 27 by removing key building components from the permitted plans without approval from the King 28 COMPLAINT - 49

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1 County Building Department. Shea’s conduct was deceptive, in that it consciously concealed its 2 knowing and material omissions. 3 146. The purposes of the statutes of limitations period are satisfied because Shea 4 cannot claim prejudice due to a late filing where Plaintiffs filed this lawsuit promptly upon 5 discovering the facts essential to their claims, described herein, which Shea knowingly 6 concealed.

7 B. Equitable Tolling 8 147. Plaintiffs were unable to obtain vital information bearing on their claims absent 9 any fault or lack of diligence on their part. As further set forth below, Plaintiffs were not on 10 inquiry notice of Shea’s wrongdoing and had no duty to initiate any investigation. Plaintiffs did 11 not have any reason to know of Shea’s knowing omissions of key building components. 12 148. Plaintiffs were relieved of any duty to investigate because they reasonably and 13 justifiably relied on Shea’s representations that it constructed their homes in accordance with the 14 building plans and building code. 15 149. Plaintiffs did not discover and could not have discovered, despite all due 16 diligence, that: (1) Shea unlawfully altered permitted plans; (2) Shea knowingly omitted key 17 building components; and, (3) Shea knew that its homes were damaged or would suffer damage 18 as a result of these omissions. 19 150. Plaintiffs’ claims were thus equitably tolled until they discovered the true facts 20 underlying their claims shortly before filing this Complaint.

21 VI. CAUSE OF ACTION

22 VIOLATION OF THE WASHINGTON CONSUMER PROTECTION ACT, WASH. REV. CODE § 19.86 23 151. Plaintiffs re-allege and incorporate by reference the allegations contained in the 24 preceding paragraphs. 25 152. Plaintiffs are persons within the meaning and coverage of the Washington 26 Consumer Protection Act, RCW 19.86 (the “CPA”). 27 28 COMPLAINT - 50

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1 153. The CPA prohibits “[u]nfair methods of competition and unfair or deceptive acts 2 or practices in the conduct of commerce ….” RCW 19.86.020. 3 154. Shea marketed to the public and sold to Plaintiffs and others homes that it built at 4 Trilogy at Redmond Ridge. 5 155. Shea unfairly and deceptively omitted to tell home purchasers that in constructing 6 homes at Trilogy it deviated from: (1) County code requirements; (2) from the recommendations 7 of its architects and engineers; and (3) from its own submitted and approved plans by: (a) failing 8 to install necessary and required water and moisture intrusion elements such as flashing, 9 capillary breaks, vapor barriers, and adequate drainage; and (b) failing to construct driveways 10 and common concrete fixtures with industry standard and required methods to prevent erosion, 11 collapse, and other exposure-related failures. 12 156. Shea’s conduct, as detailed above, constitutes unfair and deceptive acts and 13 practices in violation of the CPA. 14 157. Shea’s acts occurred in the conduct of trade or commerce. 15 158. Shea’s deceptive acts or practices impact the public interest and have the capacity 16 to deceive a substantial portion of the public. The acts are committed in the course of Shea’s 17 business; the acts are part of a pattern or generalized course of business; the acts were committed 18 repeatedly prior to the acts involving Plaintiffs and since; and there is a real and substantial 19 potential for repetition of Shea’s conduct. 20 159. Shea’s unfair and deceptive acts and practices have directly and proximately 21 caused damage to Plaintiffs. But for Shea’s unfair and deceptive acts and practices, Plaintiffs 22 would not have suffered an injury. The defects directly flowing from Shea’s deceptive acts and 23 practices for each Plaintiff’s home are set forth in the attached Exhibit 1.

24 VII. PRAYER FOR RELIEF 25 160. Plaintiffs pray for relief as follows: 26 A. For judgment for Plaintiffs on their claims in an amount to be proven at trial, for 27 compensatory damages caused by Defendants’ unfair or deceptive practices, along with 28 exemplary damages to each Plaintiff for each violation; COMPLAINT - 51

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1 B. For pre-judgment and post-judgment interest as provided for by law or allowed in 2 equity; 3 C. For an order awarding Plaintiffs their attorneys’ fees and costs; and 4 D. For such other and further relief as may appear necessary and appropriate.

5 DEMAND FOR JURY TRIAL 6 Pursuant to Federal Rule of Civil Procedure 38(b), Plaintiffs demand a trial by jury on all 7 issues so triable. 8 DATED: October 10, 2014. Respectfully submitted, 9 By: s/ Steve W. Berman 10 Steve W. Berman, WSBA #12536 11 By: s/ Thomas E. Loeser Thomas E. Loeser, WSBA #38701 12 HAGENS BERMAN SOBOL SHAPIRO LLP 1918 Eighth Avenue, Suite 3300 13 Seattle, WA 98101 Telephone: (206) 623-7292 14 Facsimile: (206) 623-0594 15 [email protected] [email protected] 16 By: s/ David von Beck 17 David von Beck, WSBA No. 26166 18 [email protected] By: s/ Katie J. Comstock 19 Katie J. Comstock, WSBA No. 40637 [email protected] 20 By: s/ Sanford R. Levy Sanford R. Levy, WSBA No. 11101 21 [email protected] 22 By: s/ Seth E. Chastain Seth E. Chastain, WSBA No. 43006 23 [email protected] LEVY VON BECK & ASSOCIATES, P.S. 24 600 University Street, Ste. 3300 Seattle, WA 98101 25 Telephone: (206) 626-5444 Facsimile: (206) 382-5527 26 27 Attorneys for Plaintiffs 28 COMPLAINT - 52

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Exhibit 1

Case 2:14-cv-01566 DocumentAAMODT ET Al. v.1-1 SHEA HOMES Filed 10/10/14 Page 2 of 7 TABLE OF PLAINTIFFS

Total Total Total Corbels Not Defective Lineal Feet of Shea Plan Date Windows Doors Flashed By Defective Garage Defective Unflashed Owner Number Address Model Style Permited Unflashed Unflashed Shea Columns Slab Wainscott Patio/Deck AAMODT DAVID B+PATRICIA A 3320 13711 MORGAN DR NE Union A 10/10/2006 21 2 3 ‐ ‐ Yes ABRAMS SCOTT F+GLORIA E 6220 12527 230th PL NE Hemlock C 7/3/2003 27 3 29 2 Yes 27 Yes ADLER DAVID+MARCIA 4091 22856 NE 130th ST Vancouver B 12/2/2004 20 2 9 ‐ Yes 41 Yes AHERN PATRICIA A 4091 23339 NE 126th ST Vancouver B 9/17/2003 unk* unk 9 ‐ Yes Yes AHOLT RAYMOND E+MARY BETH 6220 23009 NE 127th WAY Hemlock C 5/11/2004 25 3 29 2 Yes ‐ Yes ALEXANDER ALAN F+PATRICIA J 4060 23223 NE 123rd ST Whidbey A 11/5/2002 20 2 ‐ 2 Yes ‐ Yes ALLMAN MICHAEL J+PATRICIA A 6510 12612 237th WAY NE Monticello B 3/25/2003 21 3 7 2 Yes 12 Yes AMUNDSON BIRGIT A SURVIVORS TRUST 4050 13232 230th Pl NE Vashon A 2/12/2004 20 2 1 3 Yes ‐ Yes ANDERSON CAMILLE J 3310 13465 ADAIR CREEK WAY NE Chelan Craftsman 1/17/2006 12 2 ‐ 2 Yes ‐ Yes ARGYLE LYNN 3320 13440 238th PL NE Union A 8/8/2006 26 2 3 ‐ 28 Yes ASELIN DONALD G+SHARON L 2050 11802 BIG LEAF WAY NE Madison C 1/6/2005 40 2 11 2 Yes ‐ Yes AUGUST VIRGINIA S REVOCABLE LIVING TRUST 2030 22847 NE 132nd PL Discovery A 7/20/2004 16 2 ‐ ‐ Yes Yes BACKLUND WILLIAM M+BACKLUND PATRICIA A 6250 23736 NE 116th PL Alder Prairie 2/28/2002 47 2 ‐ 4 Yes 29 Yes BAIL KEVIN D+HEATH KARLA J 3340 13766 MORGAN DR NE Washington A 10/24/2006 22 2 2 1 ‐ Yes BAKER BETH E 6220 12431 231st AVE NE Hemlock B 7/22/2003 38 1 ‐ 2 Yes 30 Yes BAKER, BEBE + SKIP 2040 23652 NE 135th WAY Orchard B 12/27/2006 13 2 ‐ 2 Yes BALDWIN JUANITA LOUISE 2040 12445 232nd WAY NE Orchard C 2/25/2003 10 1 13 2 Yes ‐ Yes BALLISTY M SHARON 3310 13804 231st LN NE Chelan American Traditional 8/15/2006 10 2 ‐ ‐ ‐ Yes BANNER PATRICIA D 3310 13744 231st LN NE Chelan American Traditional 7/25/2006 12 2 ‐ ‐ Yes BARATTO MARGIE Y 2030 24317 NE VINE MAPLE WAY Discovery B 9/1/2005 unk unk ‐ 2 Yes Yes BARDELEBEN DAMON L+NANCY 6220 23712 NE 127th ST Hemlock C 7/8/2008 17 ‐ 29 2 20 Yes BARGMANN BERT L+GAYLE E 6220 13219 ADAIR CREEK WAY NE Hemlock C 1/30/2007 30 1 29 2 28 Yes BARILETTI ROBERT P+NANCY J 3320 23721 NE 134th PL Union A 9/26/2006 26 2 3 ‐ 35 Yes BARKER STEVE R+RUTH L 4091 24542 NE VINE MAPLE WAY Vancouver A 6/7/2005 21 2 5 ‐ Yes 42 Yes BARTON DOROTHY FULLER 2040 12437 240th PL NE Orchard C 6/10/2010 1 1 13 2 ‐ Yes BATJER JOHN DANNER+DEBORAH DWYER BATJER 6540 12521 237th WAY NE Maryhill B 2/26/2003 46 3 12 ‐ Yes ‐ Yes BAUER MICHAEL + CAROLYN 6240 24124 NE 131st TER Cedar Prairie 10/9/2007 30 3 ‐ 4 53 Yes BECKER DAVID WILLIAM 4060 12502 230th PL NE Whidbey A 12/31/2002 unk unk ‐ 2 Yes Yes BECKFORD JEAN+SOLIS FORTUNATO 3340 22888 NE 130th ST Washington A 4/27/2004 25 2 2 1 Yes ‐ Yes BELL ROBERT+CATHERINE 2050 12498 240th PL NE Madison B 9/2/2008 20 2 ‐ 1 8 Yes BELOVSKY BARRY+CLAIRE ‐2004 FAMILY TRUST 6510 23649 NE TWINBERRY WAY Monticello C 12/23/2010 ‐ 1 ‐ 2 44 Yes BERNS GARLAND L+JUDITH D 6240 23146 NE DEVON WAY Cedar Craftsman 2/27/2007 20 1 15 4 16 Yes BERNSTEIN BARBARA 4060 13035 243rd PL NE Whidbey C 12/23/2009 ‐ 1 3 2 ‐ Yes BERRY CRAIG L+SIRI 6510 23817 NE GREENS CROSSING RD Monticello B 5/27/2010 3 1 7 2 24 Yes BERRY RICHARD W+KATHRYN I 6220 13859 231st LN NE Hemlock C 10/24/2006 26 2 29 2 30 Yes BESSADA NASSER 6250 12528 232nd TER NE Alder French Traditional 7/3/2003 26 4 ‐ ‐ Yes Yes BEST G PAUL+DIANNE L 6520 12762 240th PL NE Oakwood C 5/3/2012 6 1 ‐ ‐ 50 Yes BESTE ADRIENNE A 3310 23147 NE 128th PL Chelan Craftsman 4/21/2004 14 4 ‐ 2 Yes Yes BICKERSTAFF JOHN + ALICIA 2020 13291 228th PL NE Townsend B 3/9/2004 16 3 ‐ 1 Yes Yes BJORKMAN GAIL F 2020 13242 SUNBREAK WAY NE Townsend B 1/20/2004 16 2 ‐ 1 Yes 42 Yes BLACK ALAN+KATHERINE 2020 13213 239th WAY NE Townsend A 1/22/2008 1 1 ‐ ‐ ‐ Yes BLACK RONALD V+STELLA J 2050 24588 NE 118th PL Madison B 5/12/2005 unk unk ‐ 1 Yes Yes BLACK, Margaret 6240 23758 NE GREENS CROSSING RD Cedar Craftsman 3/13/2003 16 2 15 4 Yes 16 Yes BLUHM RONALD W+SUSAN C 4081 11739 238th PL NE Bainbridge Cottage 6/4/2002 22 2 ‐ ‐ Yes 13 Yes

BOBREK CAROL A+YOUNG C DARLENE+FLYNN KATHRYN Y+JAMES H 3310 24589 NE 118th PL Chelan American Traditional 7/26/2005 11 2 ‐ ‐ Yes 12 Yes BOLL MOLLY M 4081 12534 230th PL NE Bainbridge Craftsman 9/2/2003 17 2 ‐ ‐ Yes 16 Yes BORDEN RANDALL T+DEETTE D 4091 13019 243rd PL NE Vancouver C 12/11/2007 5 ‐ 5 ‐ ‐ Yes BORDENET JOHN P+CECILIA J 6220 12561 237th WAY NE Hemlock B 2/26/2003 43 3 ‐ 2 Yes 24 Yes BORICHEWSKI LINDA L+JOSEPH 2030 24307 NE VINE MAPLE WAY Discovery A 9/1/2005 16 2 ‐ ‐ Yes ‐ Yes BOVEE DONNA J 4050 12373 BIG LEAF WAY NE Vashon A 12/13/2005 18 2 1 3 Yes ‐ Yes BOYLE JAMES R+GRETCHANN E 6220 23727 NE 134th PL Hemlock B 8/29/2006 46 2 ‐ 2 29 Yes BOYLE JOHN L SR+BARBARA E 6220 12223 243rd PL NE Hemlock A 8/23/2005 25 2 ‐ 2 Yes 16 Yes BRACK JAY E and JUDITH 6510 13025 SUNBREAK WAY NE Monticello B 3/3/2005 17 2 7 2 Yes 11 Yes BRADFORD WILLIAM C+SUNDAE 4060 23018 NE 128th PL Whidbey B 6/8/2004 unk unk 12 2 Yes Yes BRADLEY JOHN F+FRANCES M 6510 12310 232nd TER NE Monticello C 12/31/2002 23 2 ‐ 2 Yes 65 Yes BRADY LESLIE RAY JR+NANCY C 6230 23132 NE 123rd ST Maple A 1/10/2002 27 1 ‐ 1 Yes ‐ Yes BRANDT JANET R 6250 23734 NE GREENS CROSSING RD Alder French Traditional 10/15/2002 unk unk ‐ ‐ Yes Yes BRAUNSTEIN ROBERT J+SUSAN 3330 13840 231st LN NE Sammamish A 11/7/2006 unk unk 2 2 Yes BRILL WINSTON J+NANCY 6220 12529 237th WAY NE Hemlock B 11/26/2002 48 2 ‐ 2 Yes ‐ Yes BRODER LAWRENCE N+SUSAN J ‐REV TRUST 6220 13316 ADAIR CREEK WAY NE Hemlock C 6/19/2007 29 2 29 2 ‐ Yes BRONSON THERESA A 2030 11660 239th AVE NE Discovery C 5/2/2002 13 2 13 2 Yes ‐ Yes BROOK MELVIN+JENNIFER 6220 22840 NE 130th ST Hemlock B 5/11/2004 47 2 ‐ 2 Yes 25 Yes BROOKS DAVID W+JEANNIE 4081 24175 NE 122nd ST Bainbridge Craftsman 10/28/2005 19 2 ‐ ‐ Yes 15 Yes BROWN ALVIN+DEBORAH R 2040 24151 NE 122nd ST Orchard B 10/19/2005 unk unk ‐ 2 Yes Yes BROWN DAVID P+M DELORES 4091 24525 NE 118th PL Vancouver C 6/2/2005 16 2 5 ‐ Yes ‐ Yes BROWN DIANE M 6220 23728 NE 116th PL Hemlock C 3/12/2002 25 2 29 2 Yes 22 Yes BROWN MCDONALD G+ROSEMARY P+BROWN LIVING TRUST 4091 22911 NE 132nd St Vancouver A 8/3/2004 18 2 5 ‐ Yes 43 Yes BROZ JAMES A+JANICE W 4091 22926 NE 132nd St Vancouver B 10/19/2004 20 2 9 ‐ Yes 25 Yes BRUCH WILLIAM T+MARY P 6220 23772 NE 134th ST Hemlock A 2/20/2007 29 1 ‐ 2 ‐ Yes BRUNEAU DAVID H+CHRYSTINA 6220 23912 NE GREENS CROSSING RD Hemlock C 5/31/2012 3 ‐ 1 2 20 Yes BRUNO MICHAEL+JUDITH 6220 12554 232nd WAY NE Hemlock C 1/7/2003 30 2 29 2 Yes 25 Yes BUCHMAN KATHY 6540 23170 NE DEVON WAY Maryhill B 3/6/2007 49 3 12 ‐ ‐ Yes BULLIMAN DAVID S AND KIEL TED 6510 23823 NE 124th TER Monticello B 7/12/2005 23 2 7 2 Yes ‐ Yes BURCH LYNN A 2020 12421 232nd WAY NE Townsend A 2/26/2003 13 2 ‐ ‐ Yes ‐ Yes BURNELL MARGARET D 4060 11646 238th PL NE Whidbey B 7/16/2002 22 2 12 2 Yes 17 Yes BURNET GORDON+SALLY 4050 23133 NE DEVON WAY Vashon A 8/22/2006 20 3 1 3 25 Yes BURNS LARRY LEE+JUDITH ANN 2040 13247 239th WAY NE Orchard B 5/22/2008 4 1 ‐ 2 ‐ Yes BURRELL, SHANNON 3340 23820 NE GREENS CROSSING RD Washington A 6/28/2013 unk unk 2 1 Yes BURROWS BARBARA L+USHKA MICHAEL J 2050 12469 232nd WAY NE Madison A 2/18/2003 37 2 ‐ 2 Yes 34 Yes BUS JINNIE C 6220 12415 235th PL NE Hemlock B 9/3/2002 41 2 ‐ 2 Yes 24 Yes BUSS JAMES R+MARIAN F ‐LIVING TRUST 4091 23530 NE 122nd CT Vancouver C 5/14/2002 20 2 5 ‐ Yes ‐ Yes BUTLER JEREMY+KAREN 6540 24103 NE 122nd ST Maryhill A 4/26/2005 45 2 3 ‐ Yes 73 Yes BUTLER RONALD 3320 12114 BIG LEAF WAY NE Union A 2/8/2005 unk unk 3 ‐ Yes Yes BYE A R+BARBARA 4050 13322 MAHONIA PL NE Vashon B 4/12/2007 17 3 ‐ ‐ ‐ Yes CALEY C BEN 4060 23119 NE 127th WAY Whidbey C 1/12/2004 unk unk 3 2 Yes Yes CALHOUN JOHN S+JAMIE L 6250 12550 237th WAY NE Alder Craftsman 3/13/2003 30 3 22 3 Yes 42 Yes CAMPBELL ELLANORA L 2030 22921 NE 132nd PL Discovery C 1/20/2004 16 2 13 2 Yes 20 Yes CAMPBELL ELLEN 2040 22859 NE 128th PL Orchard C 9/28/2004 10 2 13 2 Yes ‐ Yes CAMPBELL JOHN D+KAREN L 2030 23614 NE TWINBERRY WAY Discovery A 1/24/2007 13 2 ‐ ‐ ‐ Yes CAMPBELL JOHN D+KAREN L 6220 12402 ADAIR CREEK WAY NE Hemlock A 4/29/2010 ‐ ‐ ‐ 2 15 Yes CARROLL MICHAEL P+PATRICIA S 4081 12724 ADAIR CREEK WAY NE Bainbridge Cottage 8/6/2009 1 ‐ ‐ ‐ 19 Yes CARTER FRANK A II+JOSEPHINE ANNE 6250 12423 235th PL NE Alder Craftsman 10/15/2002 26 1 22 3 Yes 20 Yes CERRA GAIL 6220 13944 MORGAN DR NE Hemlock B 7/11/2006 47 3 ‐ 2 ‐ Yes CHAMBERS WAYNE V+SHARON J 4060 12524 231st AVE NE Whidbey B 3/12/2003 14 7 12 2 Yes 20 Yes CHAN PHILLIP 4060 13443 MAHONIA PL NE Whidbey C 4/3/2007 unk unk 3 2 Yes CHANG AGNES Y 2030 13225 SUNBREAK WAY NE Discovery A 3/30/2004 unk unk ‐ ‐ Yes Yes CHANG CHUN+MYEONG 4081 23913 NE GREENS CROSSING RD Bainbridge Prairie 12/2/2010 ‐ 1 ‐ ‐ 25 Yes CHIVERS SANDRA B 6230 12041 BIG LEAF WAY NE Maple A 3/22/2005 27 2 ‐ 1 Yes ‐ Yes CHRISTIAN DAVID M+MARLENE K 4060 13115 234th CT NE Whidbey C 11/18/2003 23 2 3 2 Yes ‐ Yes CHUN REVOCABLE S H ‐REV LVG TRUST 6220 13134 234th CT NE Hemlock B 10/23/2003 49 3 ‐ 2 Yes 36 Yes CHURCH CAROL JEAN 4081 23769 NE 134th ST Bainbridge Prairie 2/27/2007 unk unk ‐ ‐ Yes CLARK J DALE+JANET LEA 6220 12341 235th PL NE Hemlock B 8/15/2002 49 2 ‐ 2 Yes ‐ Yes CLASSEN KURT + KATIE 4084 23841 NE GREENS CROSSING RD Nice Prairie 5/25/2012 ‐ ‐ ‐ 1 46 Yes CLEMETSON JAMES C+SHARON 4060 11747 238th PL NE Whidbey C 6/13/2002 19 4 3 2 Yes ‐ Yes CLEVENGER SPENCER + CELIA 4091 12427 232nd TER NE Vancouver C 7/3/2003 unk unk 5 ‐ Yes Yes COADY PHILIP P+ELIZABETH A LIVING TRUST 6230 13568 ADAIR CREEK WAY NE Maple C 7/18/2006 24 2 24 2 51 Yes COLEMAN ROGER L+SOLWEIG B 6220 13886 MORGAN DR NE Hemlock C 1/16/2007 29 2 29 2 32 Yes COLLINS JAY+PAMELA 3340 12604 ADAIR CREEK WAY NE Washington A 1/14/2010 ‐ 1 2 1 ‐ Yes CONNELLY JOHN+EVELYN ‐FAMILY TRUST 4081 12421 240th PL NE Bainbridge Prairie 10/21/2010 ‐ ‐ ‐ ‐ 56 Yes CONSGROVE THOMAS S JR+PEGGY W 4091 12438 231st AVE NE Vancouver C unknown 20 2 5 ‐ Yes Yes COOK KAREN MCBRIDE 3320 24191 NE 131st TER Union A 6/5/2007 26 3 3 ‐ 30 Yes COOK MIKE AND LEE ANN 2040 12328 232nd WAY NE Orchard B 9/9/2003 9 6 ‐ 2 Yes Yes COPERNOLL JOHN G 3340 24239 NE 130th PL Washington A 6/27/2007 unk unk 2 1 Yes CORREA DAVID C+VERNALEE W 6240 23761 NE 116th PL Cedar American Traditional 7/30/2002 unk unk ‐ ‐ Yes Yes

*Fields marked unknown or "unk" are presently unknown but will be determine upon completion of Plaintiffs home inspections and provided to Defendant no later than initial disclosures. Page 1 of 6 Case 2:14-cv-01566 DocumentAAMODT ET Al. v.1-1 SHEA HOMES Filed 10/10/14 Page 3 of 7 TABLE OF PLAINTIFFS

Total Total Total Corbels Not Defective Lineal Feet of Shea Plan Date Windows Doors Flashed By Defective Garage Defective Unflashed Owner Number Address Model Style Permited Unflashed Unflashed Shea Columns Slab Wainscott Patio/Deck CORRIGAN ELEANOR 3310 13404 238th PL NE Chelan Craftsman 4/3/2007 unk unk ‐ 2 Yes COTTINGHAM GWEN and DALE STIRN 6230 12604 237th WAY NE Maple C 3/25/2003 22 3 24 2 Yes 31 Yes COURTNEY ERLENE+COURTNEY RANDY+HARUKA KOJIMA 2040 11630 239th AVE NE Orchard B 3/26/2002 11 1 ‐ 2 Yes ‐ Yes CRIST AGNES S+PER‐ERIK MANSSON 4060 12415 231st AVE NE Whidbey A 6/17/2003 20 3 ‐ 2 Yes ‐ Yes CROCKER JEAN K (TRUST) 4081 11816 242nd PL NE Bainbridge Prairie 12/13/2005 19 2 ‐ ‐ Yes 19 Yes CROSIER DORIS M 3320 13708 231st LN NE Union B 4/18/2006 21 2 ‐ ‐ Yes ‐ Yes CROWLEY INDY + CHERYL 4091 12563 232nd WAY NE Vancouver A 3/12/2003 20 2 5 ‐ Yes 35 Yes CUSHMAN LYNN S+JULIE P 6540 23829 NE ADAIR RD Maryhill B 6/28/2005 47 4 12 ‐ Yes ‐ Yes CUSHNIE JAY R+LOIS J ‐FAMILY TRUST 4060 23804 NE 127th ST Whidbey C 9/21/2012 3 1 3 2 ‐ Yes CVETOVICH DIANE L 6220 23030 NE 130th ST Hemlock B 3/23/2004 45 2 ‐ 2 Yes ‐ Yes CZAJKOWSKI CARL A+HELENA J 4060 22858 NE 127th WAY Whidbey C 4/19/2005 23 2 3 2 Yes ‐ Yes CZECH JANA 3320 12711 ADAIR CREEK WAY NE Union B 3/25/2008 ‐ 2 ‐ ‐ 12 Yes DAHLBERG CAROL 6240 11814 BIG LEAF WAY NE Cedar Prairie 1/11/2005 30 2 ‐ 4 Yes 36 Yes DALGARN JAMES L and IRENE 4091 11832 242nd PL NE Vancouver A 10/4/2005 16 2 5 ‐ Yes 42 Yes DAVIDSON PATRICK E+WYATT LINETTE 6220 24534 NE VINE MAPLE WAY Hemlock B 6/21/2005 41 3 ‐ 2 Yes 30 Yes DAVIS SHARON D 4060 22919 NE 132nd St Whidbey C 7/29/2004 20 3 3 2 Yes ‐ Yes DAVIS THOMAS W+TERESA C 2030 12451 243rd TER NE Discovery C 10/28/2010 7 ‐ 13 2 20 Yes DAWSON HENK I+ELKE 6240 11723 238th PL NE Cedar American Traditional 2/12/2002 23 3 ‐ ‐ Yes ‐ Yes DEEGAN ROGER L+DEEGAN SANDRA J 6510 12412 232nd TER NE Monticello B 7/8/2003 19 6 7 2 Yes 12 Yes DEFRANCES CHARLOTTE 2030 13275 228th PL NE Discovery B 3/3/2004 16 3 ‐ 2 Yes 10 Yes DEINES DAVID 3340 13790 MORGAN DR NE Washington A 11/21/2006 unk unk 2 1 Yes DENNEMARCK LYNDA 2040 23730 NE SALAL PL Orchard C 7/6/2006 10 3 13 2 ‐ Yes DESCAMP EDWIN J+JEANNE E 6240 12303 ADAIR CREEK WAY NE Cedar Prairie 2/14/2006 32 1 ‐ 4 Yes ‐ Yes DILL RICHARD E+KATHLEEN J 6230 12719 ADAIR CREEK WAY NE Maple C 2/26/2008 unk unk 24 2 Yes DILLON THOMAS P+BEVERLY A 2030 13245 230th Pl NE Discovery C 12/9/2003 13 2 13 2 Yes ‐ Yes DIXON ROBERT EDWIN+EDITH L 4081 12424 230th PL NE Bainbridge Craftsman 3/25/2003 21 3 ‐ ‐ Yes 13 Yes DOBLAR RANDY A+DEBRA M 4091 12430 243rd PL NE Vancouver C 10/6/2007 7 1 5 ‐ 28 Yes DOE ALAN R+NORMA F 6230 12627 237th WAY NE Maple A 6/21/2012 7 1 ‐ 1 ‐ Yes DOMAN BEVERLY 3320 13778 MORGAN DR NE Union B 10/31/2006 20 2 ‐ ‐ 10 Yes DONAHEY THOMAS J+LINDA J 4060 24188 NE 131st TER Whidbey C 9/18/2007 7 2 3 2 ‐ Yes DOOLITTLE TURRELL S 2040 13305 ADAIR CREEK WAY NE Orchard C 1/9/2007 13 2 13 2 ‐ Yes DORAN DANIEL F+JANETTE F AND GREENE SKIP + LINDA 6220 23216 NE 126th ST Hemlock C 5/29/2003 23 3 29 2 Yes 28 Yes DOW JUDY 6230 11619 239th AVE NE Maple C 4/23/2002 unk unk 24 2 Yes Yes DOWNS WILLIAM L+MYRNA L LIVING TRUST 2050 11664 239th AVE NE Madison A 3/12/2002 40 2 ‐ 2 Yes 45 Yes DRAJPUCH BENJAMIN Z+JACALYN 6220 13165 ADAIR CREEK WAY NE Hemlock C 8/16/2007 27 2 29 2 25 Yes DRZEWIECKI THOMAS+ANGELA 4091 24020 NE ADAIR RD Vancouver B 10/28/2005 20 2 9 ‐ Yes 36 Yes DUCHI ROBERT A+JANICE C 2050 23530 NE TWINBERRY WAY Madison C 8/1/2006 42 3 11 2 ‐ Yes DUKE BEVERLY J 4050 23902 NE ADAIR RD Vashon A 9/27/2005 18 2 1 3 Yes ‐ Yes DUKE TRUST THE 2030 24159 NE 122nd ST Discovery C 10/4/2005 16 3 13 2 Yes 20 Yes DULEBA GEORGE S 4050 11637 238th PL NE Vashon C 2/28/2002 20 2 9 ‐ Yes 17 Yes DUNN GARY A 6220 23634 NE 135th WAY Hemlock A 4/11/2006 30 2 ‐ 2 Yes ‐ Yes EBBESEN EBBE B+JOANNE T 6220 24187 NE 122nd ST Hemlock C 12/20/2005 28 3 29 2 Yes 17 Yes EDGERTON JERRY L+DARLENE G 4081 22866 NE 127th WAY Bainbridge Prairie 3/8/2005 19 2 ‐ ‐ Yes 27 Yes EDGMAND MICHAEL R+JUDITH J 4081 22866 NE 132nd PL Bainbridge Prairie 3/24/2004 18 3 ‐ ‐ Yes 24 Yes EDWINS LEILA 2030 23724 NE SALAL PL Discovery C 7/6/2006 13 2 13 2 ‐ Yes EGGE ELLEN L 3320 24256 NE VINE MAPLE WAY Union A 12/20/2005 25 3 3 ‐ Yes 18 Yes ELDER DAVID+MURIEL 6220 23646 NE 135th WAY Hemlock C 4/4/2006 unk unk 29 2 Yes Yes ELLISON MARCIA J 2030 23558 NE 122nd CT Discovery B 6/11/2002 17 2 ‐ 2 Yes 41 Yes EMCH JAMES R 6220 23014 NE 130th ST Hemlock C 4/22/2004 27 2 29 2 Yes 20 Yes ESSIG THOMAS H + JUDITH 6250 12256 243rd PL NE Alder Craftsman 8/2/2005 32 3 22 3 Yes 35 Yes ESTBY STEVE+DENISE 2030 24235 NE VINE MAPLE WAY Discovery C 8/23/2005 17 2 13 2 Yes 20 Yes EVANS SANDRA + WAYNE 6510 11834 BIG LEAF WAY NE Monticello B 6/28/2005 20 4 7 2 Yes 12 Yes FARRELL MASON G JR+LINDA H 3320 12034 BIG LEAF WAY NE Union A 2/22/2005 26 2 3 ‐ Yes 34 Yes FERGUSON ROBERT + SHIRLEY 6540 23167 NE 127th WAY Maryhill A 1/8/2004 46 7 3 ‐ Yes 102 Yes FEROGLIA CAROLYN J AND BICK CHERYL 2030 23617 NE 135th WAY Discovery C 1/24/2006 13 2 13 2 Yes ‐ Yes FERRER ELEANOR J 2040 23922 NE ADAIR RD Orchard C 8/9/2005 12 3 13 2 Yes ‐ Yes FISCHER JAMES J+JUDITH A 6220 24140 NE 131st TER Hemlock B 9/19/2007 27 2 ‐ 2 Yes FLAJOLE KENNETH+COLLEEN A 6530 22864 NE 138th CT Redford A 5/9/2006 29 4 15 ‐ Yes ‐ Yes FLYNN JOYCE D 3320 22873 NE 130th ST Union B 12/16/2004 21 2 ‐ ‐ Yes 15 Yes FORD GEORGE+SNELL NANCY 3340 12300 BIG LEAF WAY NE Washington B 9/6/2005 23 2 ‐ ‐ Yes ‐ Yes FORD HUGH JOHN+JOYCE D 2040 12336 232nd WAY NE Orchard A 10/29/2002 9 1 ‐ 2 Yes 67 Yes FORREST DAVID F+JANET M 2030 22843 NE 128th PL Discovery C 11/16/2004 13 2 13 2 Yes ‐ Yes FORREY JEFFREY A+FORREY JEANNE 6240 12409 230th PL NE Cedar Prairie 11/15/2002 21 1 ‐ 4 Yes 46 Yes FOWLER DON W+MARY C 6220 12433 ADAIR CREEK WAY NE Hemlock C 3/3/2011 ‐ ‐ 29 2 28 Yes FRANKLIN RONALD L+LESLYN M ROSE 2020 13288 230th Pl NE Townsend A 12/9/2003 16 2 ‐ ‐ Yes ‐ Yes FREDRICKSON MARVIN & LINDA L 6220 12558 237th WAY NE Hemlock A 12/17/2002 30 2 ‐ 2 Yes Yes FRENCH JEFFREY H+CAROLYN M 6220 13203 ADAIR CREEK WAY NE Hemlock C 2/13/2007 25 2 29 2 34 Yes FRICKE ROY A+TING Y 4091 23744 NE 134th PL Vancouver A 2/8/2006 unk unk 5 ‐ Yes Yes FRIEDRICH KURT+KATHLEEN 6540 23625 NE TWINBERRY WAY Maryhill B 6/12/2007 unk unk 12 ‐ Yes FRY JAMES A+JODIE L 2020 23517 NE TWINBERRY WAY Townsend A 4/6/2006 11 3 ‐ ‐ Yes ‐ Yes FULLER MICHAEL+MARY 2030 12445 240th PL NE Discovery C 6/10/2010 1 ‐ 13 2 ‐ Yes GALLAGHER JAMES+BETTY (MIKE) 6230 23616 NE 135th WAY Maple C 9/19/2006 23 2 24 2 48 Yes GARCIA DONALD E+DOLORES S ET AL 6510 12298 235th PL NE Monticello A 11/19/2002 26 1 ‐ 2 Yes ‐ Yes GARDNER RICHARD E+SAVILLE H 4081 13109 ADAIR CREEK WAY NE Bainbridge Cottage 6/6/2007 21 3 ‐ ‐ 20 Yes GARRETT RONALD L+SANDRA L ‐LIVING TRUST 3340 12026 BIG LEAF WAY NE Washington A 2/24/2005 27 2 2 1 Yes Yes GARVEY DALE MARTIN JR+JANICE MOORE 6220 23737 NE 116th PL Hemlock B 6/6/2002 45 2 ‐ 2 Yes ‐ Yes GAUTREAU RONALD V+SYBIL H 4084 23977 NE GREENS CROSSING RD Nice Craftsman 4/5/2012 ‐‐‐ 1 Yes GELT ZHENIN+LYUDMILA 2050 24155 NE 122nd ST Madison B 10/19/2005 unk unk ‐ 1 Yes Yes GELZER JOSPEH W+LORELEI L 4050 23104 NE 127th WAY Vashon B 12/30/2003 15 2 ‐ ‐ Yes 26 Yes GENTILE ROBIN S+RONALD L 4060 23726 NE 134th PL Whidbey B 2/28/2006 22 3 12 2 Yes 25 Yes GIBB DENNIS 6240 13139 234th CT NE Cedar Prairie 11/5/2003 31 3 ‐ 4 Yes 28 Yes GIBSON LAWRENCE C+DIANE M 4060 22927 NE 132nd St Whidbey A 7/29/2004 20 2 ‐ 2 Yes ‐ Yes GLENN ALLEN+SANDRA 6220 23729 NE 116th PL Hemlock C 6/13/2002 26 1 29 2 Yes 30 Yes GODIDI ODILLE 4081 12255 243rd PL NE Bainbridge Cottage 1/10/2006 20 2 ‐ ‐ Yes 18 Yes GOE MIKELL+RICHARD 4084 23827 NE 127th ST Nice Prairie 8/2/2012 ‐‐‐ 1 Yes GOETSCH DONALD W+KATHLEEN L 3320 13549 ADAIR CREEK WAY NE Union B 4/25/2006 unk unk ‐ ‐ Yes Yes GOLDHAMMER BARBARA DIANE 6220 23872 NE 126th PL Hemlock C 8/27/2009 11 1 29 2 20 Yes GOODKIN ROBERT+SANDRA R 6540 23838 NE SALAL PL Maryhill C 7/6/2007 53 3 ‐ ‐ 90 Yes GORDON DAVID M+L DIANE 4050 11853 239th AVE NE Vashon A 2/28/2002 20 2 1 3 Yes ‐ Yes GORE SARAH L 6510 23231 NE 123rd ST Monticello B 10/24/2002 21 3 7 2 Yes ‐ Yes GORODKO MARJORIE N 3320 22881 NE 130th ST Union B 9/21/2004 21 3 ‐ ‐ Yes 13 Yes GOSSETT JOYCE E 3320 12252 BIG LEAF WAY NE Union B 9/6/2005 21 2 ‐ ‐ Yes Yes GRAAT KENNETH T+PAMELA D (Tom Shanely) 6540 12730 240th PL NE Maryhill C 6/16/2011 2 2 ‐ ‐ 100 Yes GRATT BARTON M+KAREN R 2050 23511 NE TWINBERRY WAY Madison A 7/27/2006 unk unk ‐ 2 Yes GRAY STEPHEN+CAROLINE A 3320 24255 NE 130th PL Union B 8/23/2007 unk unk ‐ ‐ Yes GRECO PAUL W+MARELU M 2030 12450 232nd WAY NE Discovery A 1/14/2003 7 1 ‐ ‐ Yes ‐ Yes GREGOIRE RAYMOND+CHRISTINE 4081 23335 NE 126th ST Bainbridge Cottage 10/7/2003 unk unk ‐ ‐ Yes Yes GRESS III WILLIAM CHARLES+RUBY ANN 3340 12130 BIG LEAF WAY NE Washington B 3/3/2005 22 2 ‐ ‐ Yes 4 Yes GRIBBEN PATRICIA L+WILLIAM T 2040 13737 231st LN NE Orchard A 9/14/2007 12 2 ‐ 2 ‐ Yes GROSSMAN JEFFREY D+VIVIAN 6220 23677 NE TWINBERRY WAY Hemlock C 4/5/2012 ‐ ‐ 29 2 30 Yes GUERNSEY PATRICIA E 2020 23047 NE 130th ST Townsend C 6/24/2004 16 2 13 1 Yes ‐ Yes GURTEL ARTHUR L+SHARON F 6240 12033 BIG LEAF WAY NE Cedar Prairie 6/21/2005 32 2 ‐ 4 Yes 34 Yes GUTHRIE LUCIAN G+JO‐ANN A 4060 13224 230th Pl NE Whidbey C 1/29/2004 21 2 3 2 Yes ‐ Yes GWILYM JANINE R+MILES L 6220 23766 NE SALAL PL Hemlock C 8/1/2006 29 2 29 2 24 Yes HAAS JOEL E+CAROLYN A 6520 11826 BIG LEAF WAY NE Oakwood C 12/23/2004 29 3 ‐ ‐ Yes 67 Yes HAGANDER JEFFREY+LUCIA 6540 23150 NE 126th ST Maryhill A unknown unk unk 3 ‐ Yes Yes HAGBERG JOELL L 6520 11829 239th AVE NE Oakwood C 4/2/2002 unk unk ‐ ‐ Yes Yes HAGEN JAMES O+NANCY C 6220 12407 235th PL NE Hemlock C 8/27/2002 29 1 29 2 Yes 27 Yes HAISCH EUGENE ROSS JR+WYNONNA D 6220 23240 NE 126th ST Hemlock C 7/29/2003 28 2 29 2 Yes 26 Yes HALL KAREN JEAN 2020 11656 239th AVE NE Townsend A 5/2/2002 13 2 ‐ ‐ Yes ‐ Yes HALLEN ANNETTE I 6230 23004 NE 126th ST Maple A 7/22/2003 23 3 ‐ 1 Yes ‐ Yes HAMERNIK KENNETH A+PEGGY ANN 6230 23760 NE SALAL PL Maple C 3/7/2006 23 2 24 2 Yes 53 Yes HAMLIN MERRIE E 2030 24531 NE VINE MAPLE WAY Discovery C 4/5/2005 unk unk 13 2 Yes Yes HAMMERBACK FAMILY TRUST 6240 13208 230th Pl NE Cedar Craftsman 12/30/2003 20 1 15 4 Yes 4 Yes

*Fields marked unknown or "unk" are presently unknown but will be determine upon completion of Plaintiffs home inspections and provided to Defendant no later than initial disclosures. Page 2 of 6 Case 2:14-cv-01566 DocumentAAMODT ET Al. v.1-1 SHEA HOMES Filed 10/10/14 Page 4 of 7 TABLE OF PLAINTIFFS

Total Total Total Corbels Not Defective Lineal Feet of Shea Plan Date Windows Doors Flashed By Defective Garage Defective Unflashed Owner Number Address Model Style Permited Unflashed Unflashed Shea Columns Slab Wainscott Patio/Deck HAMMOND JESSE E+SANDRA* J AND EVERUD DAN + TERESA 4050 22860 NE 129th PL Vashon C 10/5/2004 20 2 9 ‐ Yes 26 Yes HANCOCK JOHN K+JACQUELYN 4081 22861 NE 129th PL Bainbridge Craftsman 8/24/2004 21 2 ‐ ‐ Yes 10 Yes HANDLEY ROBERT L+CELIA B N 4060 11823 242nd PL NE Whidbey C 8/23/2005 22 3 3 2 Yes 6 Yes HANSEN JEAN M, TRUSTEE 6240 13454 MAHONIA PL NE Cedar Prairie 3/27/2007 33 2 ‐ 4 50 Yes HART ROBERT S+ CHAMPE, Georgia 2030 12384 232nd WAY NE Discovery C 12/3/2002 unk unk 13 2 Yes Yes HARTSTEIN EDWARD M 6540 12406 235th PL NE Maryhill A 9/10/2002 52 2 3 ‐ Yes 110 Yes HASKITT RICHARD R+JOYCE E 6220 23820 NE SALAL PL Hemlock C 2/27/2007 29 1 29 2 26 Yes HAWLEY GAIL L 6230 11890 BIG LEAF WAY NE Maple B 2/22/2005 44 1 ‐ ‐ Yes 36 Yes HAYES DAVID K JR+SUSAN D 3320 24233 NE 131st TER Union B 8/23/2007 19 2 ‐ ‐ 13 Yes HAZARD JAMES P+CAROL L 3340 23044 NE 139th CT Washington A 4/25/2006 unk unk 2 1 Yes Yes HAZEN IRENE 6220 23745 NE 116th PL Hemlock A 4/9/2002 29 1 ‐ 2 Yes ‐ Yes HEADMAN BARBARA A 4081 11654 238th PL NE Bainbridge Prairie 3/20/2002 16 1 ‐ ‐ Yes 28 Yes HEATH GEORGE ROSS+LORNA M 6230 12513 237th WAY NE Maple A 12/10/2002 unk unk ‐ 1 Yes Yes HEGGER WILLIAM R+KRISTINE A 6530 23845 NE ADAIR RD Redford C 7/7/2005 unk unk ‐ ‐ Yes Yes HEILBORN KARL A + MARIE 6220 23547 NE 122nd CT Hemlock B 5/9/2002 48 2 ‐ 2 Yes ‐ Yes HELLER SUSAN 2030 11616 239th AVE NE Discovery B 3/26/2002 13 1 ‐ 2 Yes 25 Yes HELM JOCELYN B 2030 13283 228th PL NE Discovery C 3/9/2004 16 2 13 2 Yes ‐ Yes

HENDERSON NOEL A+LONGARZO DIANA I+HARRIS CAROLYN J 6240 13126 234th CT NE Cedar Craftsman 2/17/2004 22 3 15 4 Yes ‐ Yes HESS LIVING TRUST JEANNE M 6230 13118 234th CT NE Maple C 11/13/2003 unk unk 24 2 Yes Yes HETHERINGTON RICHARD + ANN 3310 23713 NE 134th PL Chelan Craftsman 9/26/2006 11 2 ‐ 2 ‐ Yes HIGGINS CHERYL + JAN 4060 23121 NE DEVON WAY Whidbey B 8/29/2006 23 2 12 2 34 Yes HILTON WILLIAM A 4060 23057 NE 127th WAY Whidbey C 6/22/2004 19 3 3 2 Yes ‐ Yes HIRANO WINIFRED T 3310 13828 231st LN NE Chelan American Traditional 9/19/2006 12 2 ‐ ‐ ‐ Yes HOFF CHARLES S+SHEILA R 6220 12628 ADAIR CREEK WAY NE Hemlock C 2/12/2008 19 1 29 2 19 Yes HOFFMAN NEIL R+MARIANNE M 4081 13221 230th Pl NE Bainbridge Prairie 10/19/2004 19 3 ‐ ‐ Yes 21 Yes HOLMAN KERMIT L+AUDREY R 2030 24583 NE VINE MAPLE WAY Discovery B 4/12/2005 19 2 ‐ 2 Yes Yes HOLMES BURDETTE J+SHARON L 2030 11721 239th AVE NE Discovery B 1/3/2002 14 3 ‐ 2 Yes 36 Yes HOOKER JAMES ALLEN+ALMA LEE MARIE ‐FAMILY REV TRUST 6540 12318 232nd TER NE Maryhill C 2/11/2003 52 4 ‐ ‐ Yes 99 Yes HOOPER JACK+WELKER ANDREA L 6240 23031 NE 139th CT Cedar Craftsman 7/11/2006 20 2 15 4 ‐ Yes HORAN BRIAN+SUE A ATKINSON HORAN 2030 24563 NE VINE MAPLE WAY Discovery C 4/12/2005 14 2 13 2 Yes 10 Yes HORRELL JAMES F+BARBARA L 6220 23118 NE 126th ST Hemlock C 9/25/2003 23 2 29 2 Yes 21 Yes HOUMIEL FRANK R+LORRAINE S+KATHRYN L 6220 13203 228th PL NE Hemlock C 3/3/2004 31 2 29 2 Yes 22 Yes HOWARD ELEANOR M+ROBERT C 2030 24564 NE 118th PL Discovery B 10/26/2004 7 2 ‐ 2 Yes 25 Yes HOXIE REVOCABLE TRUST 2020 12368 232nd WAY NE Townsend C 10/29/2002 12 3 13 1 Yes ‐ Yes HOY PHILIP J+BRENDA WEST 6220 12657 SUNBREAK WAY NE Hemlock C 11/2/2004 29 3 29 2 Yes 28 Yes HUANG LIVING TRUST 6220 23745 NE 134th PL Hemlock A 7/6/2006 31 2 ‐ 2 ‐ Yes HUBBELL JANE R (TRUST) 2030 23749 NE SALAL PL Discovery C 2/21/2006 16 3 13 2 Yes 20 Yes HUGHES ALLEN+NANCY 4081 22813 NE 132nd St Bainbridge Cottage 6/29/2004 22 2 ‐ ‐ Yes 20 Yes HUI BARRY S+YUEN‐FUN AMY 4091 24036 NE ADAIR RD Vancouver A 10/28/2005 unk unk 5 ‐ Yes Yes HUI FRANK/YVONNE 6240 12618 240th PL NE Cedar Prairie 11/17/2011 7 7 ‐ 4 64 Yes HUMANN STANLEY D+KAY A 6220 12443 232nd TER NE Hemlock A 5/29/2003 30 2 ‐ 2 Yes 22 Yes HUNTMAN DAVID+SHEILA LIVING TRUST 4060 13117 ADAIR CREEK WAY NE Whidbey C 9/14/2007 7 1 3 2 ‐ Yes HYDE DAVID R+DAPHNE E 4091 12417 230th PL NE Vancouver B 12/10/2002 20 2 9 ‐ Yes 26 Yes IRAOLA MARK R+KAREN E 6220 12201 243rd PL NE Hemlock A 9/13/2005 22 2 ‐ 2 Yes 2 Yes ISRAEL MORRIS R+NANCY E 6220 12422 235th PL NE Hemlock C 9/10/2002 30 2 29 2 Yes 42 Yes IVERSON MARILYN 4050 11662 238th PL NE Vashon C 3/12/2002 20 2 9 ‐ Yes 22 Yes JACKSON RANDALL V+PATRICIA K 6230 23968 NE 127th ST Maple B 7/9/2009 18 2 ‐ ‐ 41 Yes JAMES FAMILY TRUST 6230 23829 NE GREENS CROSSING RD Maple B unknown 26 2 ‐ ‐ 25 Yes JATON LINDA A+H WAYNE 3320 13405 ADAIR CREEK WAY NE Union B 2/6/2007 19 2 ‐ ‐ 11 Yes JENKINS THOMAS L+DIANE M 6240 12384 ADAIR CREEK WAY NE Cedar Craftsman 10/6/2007 19 3 15 4 Yes JENSEN C WILLIAM+CAROL W 4060 22882 NE 127th WAY Whidbey C 9/7/2004 23 2 3 2 Yes ‐ Yes JI SOOK JUN 6220 13958 MORGAN DR NE Hemlock B 8/29/2006 51 3 ‐ 2 26 Yes JOHNSON CANDACE+RONALD 4081 12826 230th AVE NE Bainbridge Craftsman 6/1/2004 22 1 ‐ ‐ Yes 12 Yes JOHNSON GARY+VERLE 2030 13311 239th WAY NE Discovery C 1/15/2008 6 1 13 2 ‐ Yes JOHNSON JOHN N+VIRGINIA A 6230 22863 NE 127th WAY Maple A 12/7/2004 28 2 ‐ 1 Yes ‐ Yes JOHNSTON JOAN M 2030 24555 NE VINE MAPLE WAY Discovery A 4/12/2005 16 2 ‐ ‐ Yes ‐ Yes JOSEPHINE A HARVEY TRUST 3310 23136 NE 127th WAY Chelan Craftsman 5/18/2004 unk unk ‐ 2 Yes Yes KAHN LAWRENCE A+COHN ROSANNE S 4081 12508 231st AVE NE Bainbridge Prairie 2/26/2003 21 2 ‐ ‐ Yes 28 Yes KALISH STEPHEN E 6230 23726 NE GREENS CROSSING RD Maple A 2/11/2003 27 3 ‐ 1 Yes ‐ Yes KAPAHI SAT DEV 4091 12432 230th PL NE Vancouver C 3/25/2003 20 2 5 ‐ Yes ‐ Yes KATTI ASHOK N+SUDHA N 3320 13822 231st LN NE Union B 9/19/2006 21 2 ‐ ‐ ‐ Yes KELLY KAREN V 3310 22899 NE 128th PL Chelan American Traditional 1/18/2005 12 2 ‐ 2 Yes Yes KELLY WILLIAM+PATRICE NAGASAWA; VERSTEEG DOUG 4050 13027 243rd PL NE Vashon C 5/22/2008 6 1 9 ‐ 21 Yes KENNEDY DON MIKE+PATRICIA L 6240 23802 NE SALAL PL Cedar American Traditional 4/6/2007 21 3 ‐ ‐ Yes KENNEDY ROBERT B+SANDRA L 6540 12451 235th PL NE Maryhill A 9/10/2002 49 2 3 ‐ Yes 108 Yes KERKOF CECILE E+KIRWIN MICHELLE M 3310 12106 BIG LEAF WAY NE Chelan Craftsman 3/8/2005 12 2 ‐ 2 Yes 12 Yes KERKOF MAURICE A+CONSTANCE E 4060 12340 BIG LEAF WAY NE Whidbey C 9/27/2005 22 3 3 2 Yes ‐ Yes KIENTZ THOMAS 2030 13217 SUNBREAK WAY NE Discovery C 3/30/2004 16 2 13 2 Yes ‐ Yes KIMBALL BRIAN+BARBARA L 4081 12347 232nd TER NE Bainbridge Cottage 11/5/2002 22 1 ‐ ‐ Yes 18 Yes KIMSEY LIVING TRUST 6230 23421 NE 131st PL Maple A 1/13/2003 27 2 ‐ 1 Yes ‐ Yes KING DAVID+KAREN 4060 12321 BIG LEAF WAY NE Whidbey B 6/21/2005 22 3 12 2 Yes 24 Yes KING LEONARD+RUTH 2030 24137 NE 122nd ST Discovery C 10/28/2005 16 3 13 2 Yes 20 Yes KINGMAN A RALPH+OLSON JANE E 3330 23756 NE 134th PL Sammamish A 5/30/2006 17 2 2 2 Yes ‐ Yes KJERULFF EVERETT R+ANTHEA 4050 12541 231st AVE NE Vashon C 7/3/2003 18 3 9 ‐ Yes 23 Yes KNIGHT WILLIAM G+DOROTHY A GRAHAM 6220 23923 NE ADAIR RD Hemlock C 5/12/2005 23 1 29 2 Yes 20 Yes KOEBEL DANIEL B+COOPER SHAR 6220 23960 NE GREENS CROSSING RD Hemlock B 4/5/2012 unk unk ‐ 2 Yes KOPPEL MICHAEL+KOPPEL RICKI 3340 13335 ADAIR CREEK WAY NE Washington A 2/13/2007 22 2 2 1 10 Yes KRAHN MARGARET M 3340 13777 MORGAN DR NE Washington A 7/25/2006 24 2 2 1 ‐ Yes KREBS FAMILY TRUST 6230 12326 232nd TER NE Maple B 3/12/2003 43 2 ‐ ‐ Yes 19 Yes KRIEFF OI LING 3340 12811 230th AVE NE Washington B 7/27/2004 22 2 ‐ ‐ Yes ‐ Yes KUO MIN‐CHIU 3310 24246 NE 130th PL Chelan American Traditional 9/18/2007 unk unk ‐ ‐ Yes KUSHIN KENNETH R 2030 23867 NE 124th TER Discovery C 6/24/2010 1 ‐ 13 2 ‐ Yes KUSSICK LEON+MARILYN REVOCABLE TRUST 4081 22848 NE 130th ST Bainbridge Prairie 8/10/2004 18 2 ‐ ‐ Yes 27 Yes LAGUARDIA ROBERT M+ROSE C 4081 23760 NE 116th PL Bainbridge Craftsman 4/9/2002 21 2 ‐ ‐ Yes 4 Yes LANMAN STEVEN B+BETTY L 6220 22871 NE 127th WAY Hemlock C 1/25/2005 27 2 29 2 Yes Yes LARSON NORMAN A+BARBARA L 4081 12414 243rd PL NE Bainbridge Prairie 10/4/2007 6 2 ‐ ‐ 23 Yes LATIF MARIAM 6540 23116 NE 123rd ST Maryhill A 1/8/2002 unk unk 3 ‐ Yes Yes LATTER BARRY C+SUSAN E 6250 13200 230th Pl NE Alder Craftsman 1/29/2004 25 3 22 3 Yes 23 Yes LAUZON PIERRE+EILEEN M 6220 23241 NE 126th ST Hemlock B 8/12/2003 44 2 ‐ 2 Yes Yes LAWRENCE CHARLES W+LOIS L 2030 12320 232nd WAY NE Discovery A 11/15/2002 13 2 ‐ ‐ Yes ‐ Yes LAWSON VIRGINIA F 4091 22858 NE 132nd PL Vancouver C 3/24/2004 unk unk 5 ‐ Yes Yes LEE JANIS B 2030 13221 239th WAY NE Discovery C 1/22/2008 8 1 13 2 24 Yes LEE LYNDEN D+HELEN B 4091 12551 SUNBREAK WAY NE Vancouver B 2/12/2004 15 2 9 ‐ Yes 38 Yes LESTER DEAN+DIANNE 4081 12567 SUNBREAK WAY NE Bainbridge Cottage 4/15/2004 22 2 ‐ ‐ Yes 18 Yes LEWIS BARBARA A+BURTON MICHELLE R 3310 23750 NE 134th PL Chelan Craftsman 5/30/2006 unk unk ‐ 2 Yes Yes LICHTENBERGER W WAYNE+BONNIE A 6230 11850 BIG LEAF WAY NE Maple A 12/23/2004 unk unk ‐ 1 Yes Yes LIEBOWITZ JOHN A+DIANE B 6230 23142 NE 126th ST Maple A 9/25/2003 27 3 ‐ 1 Yes ‐ Yes

LILLIBRIDGE JAMES J+MARINA AND CARLSTROM WILLIAM + ANN 2040 13274 SUNBREAK WAY NE Orchard B 1/20/2004 13 2 ‐ 2 Yes ‐ Yes LILLY WILMOT H III+MARILYN R 6540 12438 243rd PL NE Maryhill B 10/4/2007 9 ‐ 12 ‐ ‐ Yes LINDE LAURENCE T+GAIL A 2030 12312 232nd WAY NE Discovery C 10/29/2002 16 2 13 2 Yes ‐ Yes LINDSTROM NANCY I 4091 12243 235th PL NE Vancouver B 6/11/2002 20 2 9 ‐ Yes 37 Yes LISINA ANNA 4050 12443 243rd TER NE Vashon C 12/23/2010 ‐ 1 9 ‐ 24 Yes LIU JOHN+WINNIE 4050 23738 NE 134th PL Vashon C 2/8/2006 20 2 9 ‐ Yes 20 Yes LLOYD FRANCES W 2040 12412 243rd TER NE Orchard B 5/13/2008 4 2 ‐ 2 ‐ Yes LONG GILBERT ANDREW+ILONE DANNA 4091 23011 NE 124th PL Vancouver B 10/24/2002 20 2 9 ‐ Yes 26 Yes LONG JOAN S 4060 12367 ADAIR CREEK WAY NE Whidbey C 1/10/2006 19 3 3 2 Yes ‐ Yes LOPEZ, PATRICIAO 6220 23418 NE 129th CT Hemlock A 11/25/2003 unk unk ‐ 2 Yes Yes LORENZ BONNIE 3330 24429 NE VINE MAPLE WAY Sammamish B 6/14/2005 23 2 ‐ ‐ Yes 15 Yes LOVE DONALD O MARITAL TRUST B; STORY SANDRA 3320 13416 238th PL NE Union A 3/6/2007 21 2 3 ‐ 26 Yes LOVELAND JERI L 2010 11663 239th AVE NE Angeles Craftsman 4/18/2002 10 1 19 2 Yes 20 Yes LOWELL GORDON H+LINDA K 4081 23732 NE 134th PL Bainbridge Prairie 3/7/2006 20 2 ‐ ‐ Yes 19 Yes LUBOCKI DAVID J+JACKIE C 4051 23953 NE GREENS CROSSING RD Monaco Craftsman 8/2/2012 ‐ ‐ ‐ 2 ‐ Yes

*Fields marked unknown or "unk" are presently unknown but will be determine upon completion of Plaintiffs home inspections and provided to Defendant no later than initial disclosures. Page 3 of 6 Case 2:14-cv-01566 DocumentAAMODT ET Al. v.1-1 SHEA HOMES Filed 10/10/14 Page 5 of 7 TABLE OF PLAINTIFFS

Total Total Total Corbels Not Defective Lineal Feet of Shea Plan Date Windows Doors Flashed By Defective Garage Defective Unflashed Owner Number Address Model Style Permited Unflashed Unflashed Shea Columns Slab Wainscott Patio/Deck LUCAS SUSAN A 3320 13333 MAHONIA PL NE Union A 5/29/2007 unk unk 3 ‐ Yes LUEBBERS MATTHEW B+CYNTHIA L 4060 11645 238th PL NE Whidbey C 8/22/2002 22 3 3 2 Yes ‐ Yes LUHN HAROLD L+KAREN R 3330 13714 231st LN NE Sammamish A 6/27/2006 17 2 2 2 Yes ‐ Yes LUI WING SHUM+JOSEPHINE FUNGYUE TAM 6220 12411 232nd TER NE Hemlock A 2/26/2003 unk unk ‐ 2 Yes Yes LUKECART FLOYD M+FLORA I 6230 23915 NE ADAIR RD Maple A 5/3/2005 27 1 ‐ 1 Yes ‐ Yes LUKSON FREDRICK J+CAROLYN K 6240 13034 243rd PL NE Cedar Prairie 7/1/2008 16 4 ‐ 4 42 Yes LYON KENNETH D+ROBERTA J 6230 12239 243rd PL NE Maple C 11/15/2005 23 2 24 2 Yes 36 Yes M & A JOSLIN FAMILY TRUST 4091 12516 231st AVE NE Vancouver B 2/25/2003 20 2 9 ‐ Yes 37 Yes MACDUFF DOUGLAS K+KAREN D 6240 24148 NE 131st TER Cedar Prairie 1/15/2008 24 2 ‐ 4 42 Yes MACLANE CHERIE K 6220 13927 MORGAN DR NE Hemlock B 8/22/2006 45 3 ‐ 2 ‐ Yes MAGNUSON DAVID M+DIANE L 6240 23714 NE GREENS CROSSING RD Cedar Craftsman 12/17/2002 15 3 15 4 Yes Yes MAHONEY CHERI LYN+SAMU DARWIN J 6240 12439 235th PL NE Cedar Prairie 8/20/2002 32 1 ‐ 4 Yes 45 Yes MALONE MARGARET C 2040 13233 239th WAY NE Orchard C 4/29/2008 9 2 13 2 44 Yes MARASCO RICHARD JOHN 6220 22930 NE 126th ST Hemlock C 6/17/2003 29 1 29 2 Yes 18 Yes MARKEZICH RONALD L+MARKEZICH BEVERLY J 6520 22851 NE 138th CT Oakwood C 1/30/2007 28 3 ‐ ‐ 100 Yes MARSHALL RICHARD D+NANCY K 4060 12818 230th AVE NE Whidbey A 7/13/2004 19 3 ‐ 2 Yes ‐ Yes MARTIN DALE A+SUSAN D LIVING TRUST 4091 23554 NE 122nd CT Vancouver B 5/28/2002 21 2 9 ‐ Yes 41 Yes MARTINEAU JAMES E+KATHLEEN M 4091 11807 242nd PL NE Vancouver A 8/23/2005 17 2 5 ‐ Yes 40 Yes MATHENY STEVEN I+ANITA R 6220 23249 NE 126th ST Hemlock A 8/19/2003 29 2 ‐ 2 Yes 12 Yes MATTHES DONALD L+ SUSAN J 2010 12434 232nd WAY NE Angeles Craftsman 12/31/2002 10 ‐ 19 2 Yes ‐ Yes MATTHIAS DAVID E+JUDY A 6230 23758 NE 134th ST Maple A 2/13/2007 27 3 ‐ 1 ‐ Yes MAYER GEOFFREY+SUSAN 6220 13862 MORGAN DR NE Hemlock C 9/12/2006 26 4 29 2 30 Yes MCCALLUM CHARLES J JR+PENNIE J 6220 12460 240th PL NE Hemlock B 12/16/2010 ‐ ‐ ‐ 2 2 Yes MCCANDLESS JOHN R+CAROL A 3340 13341 ADAIR CREEK WAY NE Washington B 2/6/2007 20 2 ‐ ‐ ‐ Yes MCCANN KURT D+MCCANN MARY DEE 6220 11731 238th PL NE Hemlock B 2/12/2002 43 2 ‐ 2 Yes ‐ Yes MCCRAY RONALD A+CAROL LEE 6220 11715 238th PL NE Hemlock C 2/12/2002 27 2 29 2 Yes 10 Yes MCFARLAND STEPHEN E SR 2050 24571 NE VINE MAPLE WAY Madison B 4/12/2005 25 2 ‐ 1 Yes ‐ Yes MCINTOSH ROBERT+LOIS C 6220 23126 NE 126th ST Hemlock A 9/18/2003 unk unk ‐ 2 Yes Yes MCKAY THOMAS A+SHEILA E 2050 13344 239th WAY NE Madison B 6/26/2007 24 3 ‐ 1 10 Yes MCMANAMON DAVID 6530 13128 SUNBREAK WAY NE Redford A 9/9/2004 27 3 15 ‐ Yes Yes MCRAE KENNETH D 4081 23264 NE 126th ST Bainbridge Prairie 8/5/2003 unk unk ‐ ‐ Yes Yes MEAD JAMES+JULIE 6220 23151 NE 127th WAY Hemlock B 1/8/2004 48 2 ‐ 2 Yes 30 Yes MEHTA JAY T+ZOHREH 4060 11755 238th PL NE Whidbey A 7/2/2002 unk unk ‐ 2 Yes Yes MEIKLE S RICK+KAREN T 3320 13796 MORGAN DR NE Union A 12/19/2006 25 2 3 ‐ 25 Yes MEISER DONALD L + G MARLENE 6220 12512 232nd TER NE Hemlock C 6/10/2003 29 2 29 2 Yes 35 Yes MENDOZA MARGARITA E+JUSTINIANO R 6220 23133 NE 123rd ST Hemlock B 3/29/2012 49 3 ‐ 2 26 Yes MEREDITH STEPHEN A+LINDA L 6220 13562 ADAIR CREEK WAY NE Hemlock C 7/18/2006 31 3 29 2 19 Yes MESAROS MIKE+ROZI 4060 23032 NE 127th WAY Whidbey A 4/27/2004 20 2 ‐ 2 Yes ‐ Yes MICHALAK LIVING TRUST 2020 12515 232nd WAY NE Townsend C 2/18/2003 13 2 13 1 Yes 16 Yes MICKLITZ JOSEF+ELIZABETH ‐TRUSTEES 4091 11708 238th PL NE Vancouver C 3/19/2002 18 2 5 ‐ Yes ‐ Yes MIHOVILOVICH JOHN J+DONNA J 3320 13422 238th PL NE Union B 3/6/2007 17 2 ‐ ‐ 12 Yes MILBRODT C RICHARD+BONNIE J 3320 23005 NE 128th PL Union B 1/18/2005 12 2 ‐ 2 Yes Yes MINEMOTO MASARU+VICKI LYNN REVOCABLE LIVING TRUST 4081 23844 NE SALAL PL Bainbridge Cottage 3/27/2007 21 2 ‐ ‐ 16 Yes MITCHELL DAVID S+LILLY O 4060 12406 231st AVE NE Whidbey A 6/19/2003 16 2 ‐ 2 Yes ‐ Yes MOIR JEFFREY K 6220 23405 NE 131st PL Hemlock B 10/21/2003 43 3 ‐ 2 Yes 35 Yes MONCRIEFF DONALD M+ROSEMARY J 4050 11638 238th PL NE Vashon B 2/28/2002 unk unk ‐ ‐ Yes Yes MONTGOMERY TED L+KATHLEEN G 6220 13026 243rd PL NE Hemlock C 9/11/2007 29 2 29 2 ‐ Yes MOORE ALICE M 6220 12369 243rd PL NE Hemlock C 11/15/2005 24 1 29 2 Yes 32 Yes MOORE WILLIAM A 2030 24580 NE 118th PL Discovery A 10/26/2004 16 2 ‐ ‐ Yes ‐ Yes MORLAND JUDITH A 4050 13236 ADAIR CREEK WAY NE Vashon C 5/10/2007 15 2 9 ‐ 18 Yes MORRIS ROBERT S+DONNA G 6220 23277 NE 126th ST Hemlock A 9/23/2003 unk unk ‐ 2 Yes Yes MORRISON MICHAEL R+JEANNE M 6510 12308 235th PL NE Monticello B 8/27/2002 20 5 7 2 Yes 14 Yes MOSER DORIS E+DOYLE BARBARA M 6220 12235 235th PL NE Hemlock C 6/11/2002 26 ‐ 29 2 Yes 20 Yes MOYA JOE L+SALLY A 6220 12023 BIG LEAF WAY NE Hemlock A 2/8/2005 30 2 ‐ 2 Yes 16 Yes MUDD JEAN MARIE 3320 22880 NE 130th ST Union A 4/27/2004 26 2 3 ‐ Yes 19 Yes MURPHY MICHELLE M 2040 11622 239th AVE NE Orchard C 3/26/2002 10 1 13 2 Yes 24 Yes MYERS JOAN 2040 13234 SUNBREAK WAY NE Orchard C 2/10/2004 10 2 13 2 Yes 16 Yes MYERS MICHAEL+KATHLEEN 6220 13206 239th WAY NE Hemlock B 9/30/2008 ‐ 1 ‐ 2 29 Yes MYERS WILLIAM M+PRUDENCIA D 4081 12423 231st AVE NE Bainbridge Cottage 6/24/2003 unk unk ‐ ‐ Yes Yes NAFE SHIRLEY J 2030 23608 NE TWINBERRY WAY Discovery C 1/2/2007 13 2 13 2 ‐ Yes NEER WILLIAM D+CAROLE M 6530 23571 NE TWINBERRY WAY Redford C 5/22/2007 28 3 ‐ ‐ 72 Yes NELSON SANDRA A 4060 23113 NE 124th PL Whidbey C 10/24/2002 unk unk 3 2 Yes Yes NESS LAWRENCE H+JANE E 4060 13751 231st LN NE Whidbey C 6/29/2006 19 3 3 2 ‐ Yes NEWSOM JOHN+SHARON 6230 23939 NE ADAIR RD Maple C 7/7/2005 22 2 24 2 Yes 46 Yes NICHOLSON DOUGLAS B+CONSTANCE A TRUST 2040 12453 232nd WAY NE Orchard B 2/25/2003 12 1 ‐ 2 Yes ‐ Yes NIEMAN RUSSELL A+MARSHA M 2020 22810 NE 132nd PL Townsend A 6/29/2004 16 2 ‐ ‐ Yes ‐ Yes NILSEN JUDITH M 4060 23008 NE 127th WAY Whidbey B 4/22/2004 unk unk 12 2 Yes Yes NOBLE DENISANN 4081 23546 NE 122nd CT Bainbridge Cottage 6/13/2002 unk unk ‐ ‐ Yes Yes NOMIYAMA FRANK+BETTY Y 2040 24436 NE VINE MAPLE WAY Orchard C 6/14/2005 10 3 13 2 Yes ‐ Yes NOMOTO KUMIKO Y 2030 13544 ADAIR CREEK WAY NE Discovery B 3/21/2006 unk unk ‐ 2 Yes Yes NORRIS JOHN C+GLENDA C 6230 23780 NE 134th ST Maple B 2/13/2007 44 2 ‐ ‐ 41 Yes OBLANDER LORENA M 4050 13835 231st LN NE Vashon C 10/5/2006 19 2 9 ‐ 26 Yes OLIVER MICHAEL T+BARBARA S 4081 22877 NE 129th PL Bainbridge Cottage 4/26/2005 19 3 ‐ ‐ Yes 21 Yes OLSEN ELLA JEAN 6250 13437 MAHONIA PL NE Alder Prairie 3/13/2007 47 4 ‐ 4 24 Yes OLSON HARVEY T+MARIA M 6540 22850 NE 128th PL Maryhill B 12/12/2006 47 4 12 ‐ ‐ Yes OPACKI DENNIS G+JUDITH 6230 12215 243rd PL NE Maple B 9/6/2005 44 1 ‐ ‐ Yes 39 Yes OPHEIM FRAN 2030 11671 239th AVE NE Discovery A 2/21/2002 13 2 ‐ ‐ Yes ‐ Yes OWENS MARVIN M+BETTY M 4060 13173 ADAIR CREEK WAY NE Whidbey C 6/19/2007 23 2 3 2 ‐ Yes PALAZZOLO CONNIE+HRNCIR ALICE 2030 12437 232nd WAY NE Discovery B 2/26/2003 unk unk ‐ 2 Yes Yes PARIS KATHLEEN J MD TRUST (REVOCABLE TRUST) 4060 22854 NE 128th PL Whidbey C 6/14/2005 23 2 3 2 Yes 6 Yes PARRISH HELEN C 4050 23010 NE 128th PL Vashon B 6/1/2004 unk unk ‐ ‐ Yes Yes PASS JAMES D+SUSAN 4091 12555 232nd WAY NE Vancouver A 2/19/2003 18 2 5 ‐ Yes 40 Yes PATTERSON JACK D+CATHERINE E 2030 11806 BIG LEAF WAY NE Discovery C 1/11/2005 12 2 13 2 Yes ‐ Yes PAUL RICHARD A+KATHERINE G 4060 23000 NE 127th WAY Whidbey A 5/11/2004 19 3 ‐ 2 Yes ‐ Yes PAXTON JAMES ALFRED+MARY LOUISE ‐FAMILY REV TRUST 4050 12518 230th PL NE Vashon A 4/8/2003 15 4 1 3 Yes ‐ Yes PEDRIDO FAMILY TRUST 2040 11711 239th AVE NE Orchard C 2/21/2002 unk unk 13 2 Yes Yes PEERCE WILLIAM R JR+SUSAN L 3340 24247 NE 130th PL Washington B 8/23/2007 18 2 ‐ ‐ ‐ Yes PEPPER KRISTINE S 3340 23775 NE 134th ST Washington A 5/15/2007 11 1 2 1 ‐ Yes PERKINS MICHAEL A+SHELLEY M 6220 23127 NE 127th WAY Hemlock C 12/18/2003 29 2 29 2 Yes 22 Yes PETERSON DIANE M 3310 13327 MAHONIA PL NE Chelan Craftsman 5/29/2007 9 2 ‐ 2 10 Yes PETERSON DOUGLAS W+MARYANNE 4060 12263 243rd PL NE Whidbey B 1/10/2006 22 2 12 2 Yes 19 Yes PETERSON ROGER F+PETERSON DIANNE LISLE 6220 12635 237th WAY NE Hemlock C 4/28/2011 ‐ ‐ 29 2 20 Yes PHILLIPS JOHN J+ELEANOR F 6220 23025 NE 127th WAY Hemlock B 3/24/2004 48 3 ‐ 2 Yes 28 Yes PIRTLE ROBERT L+JENNIFER JO 6220 13326 239th WAY NE Hemlock C 5/10/2007 29 2 29 2 30 Yes PORTER ROSE 4091 13256 230TH PL NE Vancouver B 2/11/2004 9 ‐ Yes Yes POWERS GREGORY R+MARIANNE N 2050 23824 NE 116th PL Madison B 4/23/2002 23 ‐ ‐ 1 Yes ‐ Yes PRESLEY TRUST CHRISTINE D 2030 23658 NE 135th WAY Discovery B 12/27/2005 17 2 ‐ 2 Yes Yes PRINGLE ROBERT C+TINA A 6230 13018 243rd PL NE Maple C 9/13/2007 21 2 24 2 ‐ Yes PROESEL CAROL WERTHEIMER 2040 23875 NE 124th TER Orchard C 6/24/2010 5 1 13 2 ‐ Yes RACKERS ANNE E 6250 12511 230th PL NE Alder French Traditional 4/8/2003 27 2 ‐ ‐ Yes ‐ Yes RADKE RONALD F+RUTH E 6220 23610 NE 135th WAY Hemlock C 5/16/2006 29 2 29 2 Yes 23 Yes RAGSDALE JEANETTE BUSSEY 4081 23128 NE 127th WAY Bainbridge Prairie 2/3/2004 21 2 ‐ ‐ Yes 27 Yes RALL DIANA + STANLEY 6230 24266 NE 131st TER Maple C 3/4/2010 ‐ 1 24 2 25 Yes RANGARAM SUNDER+CAROL ANN 4081 12538 232nd WAY NE Bainbridge Cottage 1/7/2003 22 1 ‐ ‐ Yes 18 Yes RECOB RICHARD W+LINDA A 4060 12546 232nd WAY NE Whidbey A 1/7/2003 21 2 ‐ 2 Yes ‐ Yes REEVES GIA R MENDOZA+MICHAEL JOHN 4081 23140 NE 123rd ST Bainbridge Cottage 3/28/2012 20 2 ‐ ‐ Yes REILLY CHARLES 4081 12307 BIG LEAF WAY NE Bainbridge Cottage 6/21/2005 22 2 ‐ ‐ Yes 16 Yes REITAN Jean 6220 24258 NE 131st TER Hemlock C 12/11/2007 16 ‐ 29 2 ‐ Yes RESNIK RICHARD M+AMY M 4060 23109 NE DEVON WAY Whidbey C 8/29/2006 23 2 3 2 ‐ Yes REUBISH JANE J 2020 13235 228th PL NE Townsend A 3/3/2004 16 2 ‐ ‐ Yes ‐ Yes RICHARDS LARRY O+PATRICIA C 4060 12665 SUNBREAK WAY NE Whidbey C 4/19/2005 21 3 3 2 Yes ‐ Yes RIEDER MARGARET R 3320 24597 NE 118th PL Union B 7/26/2005 19 2 ‐ ‐ Yes 11 Yes RIEGER DENNIS J+JANICE D 4081 23248 NE 126th ST Bainbridge Craftsman 10/3/2003 17 2 ‐ ‐ Yes 8 Yes RIEGER KEIL A 6240 23735 NE 134th PL Cedar Prairie 9/5/2006 32 3 ‐ 4 ‐ Yes

*Fields marked unknown or "unk" are presently unknown but will be determine upon completion of Plaintiffs home inspections and provided to Defendant no later than initial disclosures. Page 4 of 6 Case 2:14-cv-01566 DocumentAAMODT ET Al. v.1-1 SHEA HOMES Filed 10/10/14 Page 6 of 7 TABLE OF PLAINTIFFS

Total Total Total Corbels Not Defective Lineal Feet of Shea Plan Date Windows Doors Flashed By Defective Garage Defective Unflashed Owner Number Address Model Style Permited Unflashed Unflashed Shea Columns Slab Wainscott Patio/Deck RISDON VERA JANE 6220 12325 235th PL NE Hemlock B 9/12/2002 48 2 ‐ 2 Yes 33 Yes ROBNETT DAVID+GERALDINE 2040 13556 ADAIR CREEK WAY NE Orchard B 3/3/2006 14 3 ‐ 2 Yes ‐ Yes RODEN NANCY ANN 4081 12010 BIG LEAF WAY NE Bainbridge Prairie 5/31/2005 unk unk ‐ ‐ Yes Yes RODMAN RICHARD L+CAROL F 4060 12226 235th PL NE Whidbey C 6/11/2002 23 2 3 2 Yes ‐ Yes ROMANO DOUGLAS P+ALLISON E ‐ TTES 6540 13585 ADAIR CREEK WAY NE Maryhill A 2/28/2006 48 3 3 ‐ Yes 49 Yes ROSENBERG DAVID H+SANDRA 2050 22897 NE 130th ST Madison B 3/22/2005 21 2 ‐ 1 Yes ‐ Yes ROSS DONALD A+REDITH F 3330 23787 NE 134th ST Sammamish A 4/3/2007 22 2 2 2 16 Yes ROSS JULITTA A 3330 12042 BIG LEAF WAY NE Sammamish A 2/8/2005 10 2 2 2 Yes 20 Yes ROTH HOWARD and KATHY 6240 22914 NE 126th ST Cedar Craftsman 7/1/2003 17 3 15 4 Yes ‐ Yes RUBEN GERHARD F+PALMA T 4081 11882 BIG LEAF WAY NE Bainbridge Cottage 5/17/2005 15 3 ‐ ‐ Yes 24 Yes RUBIN HARRY A+CYNTHIA E 6230 23022 NE 130th ST Maple A 4/22/2004 24 1 ‐ 1 Yes ‐ Yes RUDOWICZ SIGMUND P+ROSEMARY 6520 12414 235th PL NE Oakwood C 9/10/2002 28 2 ‐ ‐ Yes 64 Yes RUFF DIANE 6230 13222 239th WAY NE Maple B 9/30/2008 ‐ ‐ ‐ ‐ 26 Yes RUGGIERO CATHLEEN A 3320 24322 NE VINE MAPLE WAY Union A 10/11/2005 22 3 3 ‐ Yes 34 Yes RUHLAND RICHARD G+GERALDINE M 6220 13131 234th CT NE Hemlock A 10/14/2003 24 1 ‐ 2 Yes 4 Yes RUSHING ROBERT+GAIL 2040 13301 239th WAY NE Orchard A 1/15/2008 8 1 ‐ 2 56 Yes

RYAN WALTER RIDGWAY JR+HACKWORTH SARAH COLEMAN ‐TRUST 4081 12419 243rd TER NE Bainbridge Cottage 10/21/2010 ‐ ‐ ‐ ‐ Yes SAARI JAMES R+JOYCE M 4050 12357 BIG LEAF WAY NE Vashon C 7/26/2005 20 2 9 ‐ Yes 20 Yes SACKMANN ROBERT W+DOROTHY C 6220 12748 ADAIR CREEK WAY NE Hemlock C 4/1/2008 22 2 29 2 20 Yes SADLER RICHARD C+CHERYL L ‐FAMILY TRUST 4060 23145 NE DEVON WAY Whidbey C 7/11/2006 22 4 3 2 ‐ Yes SALDANA ELLEN 2030 23815 NE SALAL PL Discovery A 6/6/2007 13 2 ‐ ‐ ‐ Yes SALVATORI PHILIP C+CONSTANCE M 6220 12299 235th PL NE Hemlock A 5/7/2002 27 2 ‐ 2 Yes ‐ Yes SANBORN JAMES C+E SUE 6220 23828 NE 127th ST Hemlock B 5/6/2008 42 2 ‐ 2 Yes SANDEL WANTLAND+PHYLLIS 3320 12154 BIG LEAF WAY NE Union A 3/29/2005 26 2 3 ‐ Yes 24 Yes SATHER JIM D and Barbara 6220 13418 MAHONIA PL NE Hemlock B 5/29/2007 48 3 ‐ 2 ‐ Yes SCHAFF ANTHONY E+PHYLLIS M 4050 23115 NE DEVON WAY Vashon A 8/1/2006 20 2 1 3 ‐ Yes SCHEUNEMANN ARTHUR C+MICHELLE E OWENS 3320 13705 MORGAN DR NE Union B 11/21/2006 21 3 ‐ ‐ 13 Yes SCHMIDT IRENE M 2030 11612 239th AVE NE Discovery C 2/7/2002 13 3 13 2 Yes ‐ Yes SCHULTZ ROBERT A 2030 23710 NE TWINBERRY WAY Discovery C 4/24/2007 13 2 13 2 ‐ Yes SCHWARTZ MICHAEL+RENA 4050 12375 ADAIR CREEK WAY NE Vashon C 4/18/2006 17 2 9 ‐ Yes 27 Yes SCOTT MARSHALL RALPH+GRACE LYNNE 6230 23319 NE 126th ST Maple B 10/7/2003 41 2 ‐ ‐ Yes 42 Yes SETZER, SCOTT and WEBB‐SETZER, DENISE 6240 23779 NE GREENS CROSSING RD Cedar Prairie 9/12/2002 unk unk ‐ 4 Yes Yes SHAEFFER DANNY A+DIANE M 4081 13254 228th PL NE Bainbridge Prairie 2/15/2005 21 2 ‐ ‐ Yes 20 Yes SHAFFER JOHN G+ADRIENNE H 6240 13880 MORGAN DR NE Cedar Craftsman 11/14/2006 18 2 15 4 4 Yes SHANNON JOHN C+SANDRA MICHELE 6540 12208 243rd PL NE Maryhill B 11/1/2005 43 5 12 ‐ Yes ‐ Yes SHAW MARILYN T 6530 12628 239th PL NE Redford B 11/10/2011 1 ‐ ‐ ‐ 33 Yes SHEARER DIANA G 4081 23428 NE 131st PL Bainbridge Craftsman 3/9/2004 17 2 ‐ ‐ Yes 7 Yes SHEERAN ELIZABETH 3330 13771 MORGAN DR NE Sammamish A 7/25/2006 22 2 2 2 Yes SHELDON CHRISTOPHER M+REBECCA J 4091 12542 230th PL NE Vancouver B 6/24/2003 20 3 9 ‐ Yes 40 Yes SHIFLET JERRY W+ARDIS 2040 13253 230th PL NE Orchard C 12/2/2003 9 3 13 2 Yes ‐ Yes SHOULTS JAMES O+DONNA M 4081 24173 NE 131st TER Bainbridge Prairie 9/29/2007 3 1 ‐ ‐ 22 Yes SHRIVER DAVID+SHARON 4060 13580 ADAIR CREEK WAY NE Whidbey B 5/9/2009 22 3 12 2 28 Yes SHRIVER HARRY J 6220 23124 NE 123rd ST Hemlock C 1/10/2002 32 1 29 2 Yes 25 Yes SHTEYNBERG MARGARITA+SHTEYNBERG MIKHAIL 2030 11667 239th AVE NE Discovery B 4/18/2002 14 2 ‐ 2 Yes Yes SHYNE KEVIN T+FRANCINE C 6250 23744 NE 116th PL Alder Craftsman 2/28/2002 34 2 22 3 Yes 25 Yes SIEFKES HERBERT W+LOIS E 4081 23026 NE 139th CT Bainbridge Prairie 5/9/2006 18 2 ‐ ‐ Yes 24 Yes SIEW CHAKWAN+SIEW MABEL CHIA‐HSIN 6240 13847 231st LN NE Cedar Prairie 12/5/2006 33 2 ‐ 4 ‐ Yes SIGL JACOB A+OLGA ANNE SIGL 6220 12510 237th WAY NE Hemlock A 2/11/2003 28 2 ‐ 2 Yes ‐ Yes SIMMONS CAROL 4060 23971 NE GREENS CROSSING RD Whidbey C 6/1/2012 ‐ 1 3 2 Yes SIMMONS F C 6510 22857 NE 138th CT Monticello B 10/17/2006 19 4 7 2 Yes SMILOW ROBERT C+JEANIE L 3320 12420 240th PL NE Union A 4/21/2011 ‐ 2 3 ‐ 24 Yes SMITH DONALD L+F ERNESTINE 4050 22862 NE 128th PL Vashon C 5/17/2005 18 2 9 ‐ Yes 21 Yes SMITH KIM W 2030 13272 230th Pl NE Discovery C 12/2/2003 16 2 13 2 Yes ‐ Yes SOKOL FRANKLIN P+VIRGINIA M 2040 11672 239th AVE NE Orchard C 3/12/2002 10 1 13 2 Yes ‐ Yes SOKULSKI MARTIN P+RACHELE A 2030 13241 239th WAY NE Discovery B 5/22/2008 3 1 ‐ 2 28 Yes SOMERS ARNOLD 4081 11815 242nd PL NE Bainbridge Prairie 9/6/2005 21 2 ‐ ‐ Yes 22 Yes STAAB WILLIAM M 4081 12907 SUNBREAK WAY NE Bainbridge Cottage 2/1/2005 22 1 ‐ ‐ Yes 18 Yes STEIGER WILLIAM H+SANDRA N 4060 24169 NE 122nd ST Whidbey C 10/28/2005 18 3 3 2 Yes ‐ Yes STEPHENSON MICHAEL J+CAROL K 6540 11813 239th AVE NE Maryhill A 4/2/2002 unk unk 3 ‐ Yes Yes STEVENS PAUL R 3320 12617 SUNBREAK WAY NE Union B 3/4/2004 21 3 ‐ ‐ Yes 12 Yes STEVENS PAUL R+PATRICIA A 6540 12342 232nd TER NE Maryhill A 8/26/2003 48 5 3 ‐ Yes 100 Yes STRAINER MICHAEL T+ROEHRIG JUTTA 4060 23054 NE 130th ST Whidbey B 3/23/2004 16 2 12 2 Yes 23 Yes STROH REVOCABLE LIVING TRUST 6220 12449 ADAIR CREEK WAY NE Hemlock B 3/25/2008 32 2 ‐ 2 10 Yes STUMPF EUGENE J+ELLEN T+STUMPF FAMILY TRUST 6540 11821 239th AVE NE Maryhill C 4/2/2002 53 5 ‐ ‐ Yes 48 Yes SUTHERLAND DAVID R+MARION M ‐TRUSTEES 4091 11669 238th PL NE Vancouver C 4/9/2002 15 1 5 ‐ Yes ‐ Yes SWANGARD TREVOR M+MARIANNE L 4081 23146 NE 128th PL Bainbridge Prairie 4/21/2004 21 2 ‐ ‐ Yes 20 Yes SWANSON CORNELL K+SHIRLEY K 4081 23138 NE 128th PL Bainbridge Craftsman 4/13/2004 19 2 ‐ ‐ Yes 7 Yes SWEATTE J SHANNON+JANET E 2050 12418 232nd WAY NE Madison A 12/31/2002 unk unk ‐ 2 Yes Yes SWEET TOM+JOAN 6220 24132 NE 131st TER Hemlock C 8/23/2007 26 4 29 2 14 Yes SWENSON DONALD+BARBARA 2030 13218 SUNBREAK WAY NE Discovery C 2/10/2004 16 2 13 2 Yes ‐ Yes SWOFFORD GARY+DIANE 4081 23049 NE 127th WAY Bainbridge Craftsman 5/11/2004 19 2 ‐ ‐ Yes 15 Yes SYLVESTER MARILYN J 2030 22851 NE 128th PL Discovery B 9/28/2004 unk unk ‐ 2 Yes Yes SZYMANSKI SYLVIA A 3320 12727 ADAIR CREEK WAY NE Union A 4/15/2008 unk unk 3 ‐ Yes TALBOTT JUDY L 2050 13715 231st LN NE Madison C 4/25/2006 40 2 11 2 Yes ‐ Yes TAUBER RICHARD N+BARBARA A 6240 11842 BIG LEAF WAY NE Cedar Craftsman 1/11/2005 21 2 15 4 Yes 30 Yes TAY AYE AYE L+CHLOE F 4081 12389 BIG LEAF WAY NE Bainbridge Craftsman 9/20/2005 19 2 ‐ ‐ Yes Yes TAYLOR LIVING TRUST 2050 12429 243rd PL NE Madison C 5/6/2008 8 2 11 2 ‐ Yes TESSMER DAVID D 4081 12716 SUNBREAK WAY NE Bainbridge Cottage 5/17/2005 22 2 ‐ ‐ Yes 13 Yes THOMPSON BRUCE D+RHODA 2040 23611 NE 135th WAY Orchard C 2/9/2006 12 3 13 2 Yes ‐ Yes THOMPSON WILLIAM G+JUDITH L 4091 23056 NE 127th WAY Vancouver B 6/15/2004 unk unk 9 ‐ Yes Yes THOMSON MATTHEW WILLIAMS+GRACE 2030 24515 NE VINE MAPLE WAY Discovery A 2/15/2005 17 2 ‐ ‐ Yes ‐ Yes TICE GERALD FRANK & JANICE F ‐FAMILY TRUST 6240 13318 239th WAY NE Cedar Prairie 5/22/2007 32 3 ‐ 4 38 Yes TIMPE WALTER K+KATHRYN J 2040 23712 NE SALAL PL Orchard B 6/6/2008 14 3 ‐ 2 ‐ Yes TOOLEN FAMILY TRUST 6540 22865 NE 138th CT Maryhill B 10/10/2006 45 5 12 ‐ ‐ Yes TREMAIN MARY 2050 24312 NE 123rd LN Madison C 10/6/2007 39 3 11 2 ‐ Yes TRIMBLE THOMAS H 2030 13226 SUNBREAK WAY NE Discovery B 2/10/2004 14 2 ‐ 2 Yes 28 Yes TSCHUMPER REVOCABLE TRUST 2040 23847 NE 124th TER Orchard A unknown 2 2 ‐ 2 46 Yes TSUJI FAMILY TRUST 4091 13449 MAHONIA PL NE Vancouver C 4/3/2007 18 2 5 ‐ ‐ Yes TUGGLE JAMES B+JOYCE F AND VAAGA PER + KATHRYN 6510 12328 235th PL NE Monticello C 10/22/2002 15 2 ‐ 2 Yes Yes TURNER CHARLES H 4081 11813 BIG LEAF WAY NE Bainbridge Cottage 7/19/2005 unk unk ‐ ‐ Yes Yes TURNPAUGH LISA+TIM 6230 24526 NE VINE MAPLE WAY Maple A 10/11/2005 26 3 ‐ 1 Yes Yes UTTER BRENDA G 4091 11734 239th AVE NE Vancouver A 1/15/2002 unk unk 5 ‐ Yes Yes VALENTINE REX C+KEIKO 6540 13939 MORGAN DR NE Maryhill A 10/5/2006 26 2 3 ‐ 82 Yes VALUCH DIANNE S+THOMAS L 2050 11741 239th AVE NE Madison C 1/3/2002 35 2 11 2 Yes Yes VAN PAEMEL FRANCES C TRUST 4060 23763 NE 134th ST Whidbey C 2/6/2007 unk unk 3 2 Yes VAN PATTEN MYUNG JA KIM 6220 24420 NE VINE MAPLE WAY Hemlock C 6/28/2005 27 2 29 2 Yes 25 Yes VANDERSTOEP PAUL E+KAREN 4050 13262 228th PL NE Vashon A 10/5/2004 20 2 1 3 Yes ‐ Yes VANDERSTROOM ARIE PIETER+MAGDA JOHANNA 6510 22836 NE 126th ST Monticello B 3/30/2004 unk unk 7 2 Yes Yes VONNAHME NEIL L+DENISE S 6220 12240 243rd PL NE Hemlock C 8/16/2005 29 ‐ 29 2 Yes 21 Yes VOORHEIS ALAN E+JANICE 3320 13846 231st LN NE Union A 11/7/2006 26 2 3 ‐ ‐ Yes WADE RICHARD L+SUSAN L 6510 12714 232nd PL NE Monticello B 3/16/2004 20 2 7 2 Yes 12 Yes WAITE RUSSELL T+MARILYN P 3340 24179 NE 131st TER Washington B 6/26/2007 23 2 ‐ ‐ ‐ Yes WALLACE ROXANNE L 4060 23543 NE 122nd CT Whidbey B 7/2/2002 22 4 12 2 Yes 27 Yes WALMAR MARY 4084 23842 NE 126th PL Nice Prairie 9/20/2012 2 1 ‐ 1 28 Yes WALSH JOSEPH T+ELIZABETH C 2050 11717 239th AVE NE Madison B 2/21/2002 23 2 ‐ 1 Yes 10 Yes WARREN SCOTT E 2020 23650 NE TWINBERRY WAY Townsend C 2/20/2007 unk unk 13 1 Yes WARREN STANLEY D+PATRICIA A 6220 23327 NE 126th ST Hemlock B 9/2/2003 47 2 ‐ 2 Yes 24 Yes WASSERMAN PETER B+BARBARA A 6240 24590 NE VINE MAPLE WAY Cedar Prairie 5/24/2005 31 2 ‐ 4 Yes 53 Yes WATENPAUGH KEITH+JOYCE 6230 23983 NE GREENS CROSSING RD Maple B unknown 24 2 ‐ ‐ 34 Yes WECKER JAMES C 4060 23754 NE SALAL PL Whidbey C 4/11/2006 22 3 3 2 Yes ‐ Yes WEDELL LIVING TRUST 2030 24327 NE VINE MAPLE WAY Discovery A 7/21/2005 16 2 ‐ ‐ Yes ‐ Yes WEHNER STEPHEN J+ANDREA K 2020 23692 NE TWINBERRY WAY Townsend A 4/24/2007 13 2 ‐ ‐ ‐ Yes WEINBERG JANICE T 4060 24550 NE VINE MAPLE WAY Whidbey B 5/14/2005 23 2 12 2 Yes 28 Yes

*Fields marked unknown or "unk" are presently unknown but will be determine upon completion of Plaintiffs home inspections and provided to Defendant no later than initial disclosures. Page 5 of 6 Case 2:14-cv-01566 DocumentAAMODT ET Al. v.1-1 SHEA HOMES Filed 10/10/14 Page 7 of 7 TABLE OF PLAINTIFFS

Total Total Total Corbels Not Defective Lineal Feet of Shea Plan Date Windows Doors Flashed By Defective Garage Defective Unflashed Owner Number Address Model Style Permited Unflashed Unflashed Shea Columns Slab Wainscott Patio/Deck WERTZ JOHN C + RAMONA 4081 24558 NE VINE MAPLE WAY Bainbridge Prairie 6/7/2005 21 2 ‐ ‐ Yes 21 Yes WHEELER SUSAN C 2010 23832 NE 116th PL Angeles American Traditional 4/18/2002 10 3 ‐ ‐ Yes ‐ Yes WHELAND DANIEL J+SUSAN C SCHUTTE 6220 12607 ADAIR CREEK WAY NE Hemlock C 7/7/2011 ‐ ‐ 29 2 23 Yes WHITE ANN RHODES+BANICK RONALD G 6230 12232 243rd PL NE Maple B 8/2/2005 44 2 ‐ ‐ Yes 32 Yes WHITE EVERETT ROY+BETTY‐ELAINE 2030 24157 NE 131st TER Discovery C 9/29/2007 8 1 13 2 ‐ Yes WILDERMAN JOSEPH MICHAEL+ROBERTS JACQUELINE K 6240 11707 238th PL NE Cedar Craftsman 4/9/2002 17 1 15 4 Yes ‐ Yes WILLINGHAM JUDITH L 3320 13673 MORGAN DR NE Union A 12/19/2006 18 2 3 ‐ 28 Yes WILSON HAROLD R+STEPHANIE KING WILSON 6510 23782 NE GREENS CROSSING RD Monticello B 3/25/2003 22 2 7 2 Yes 10 Yes WILSON MARLIN F+ALICE E 6220 12274 235th PL NE Hemlock C 6/11/2002 30 2 29 2 Yes 21 Yes WILSON NANCY P 4050 23752 NE TWINBERRY WAY Vashon A 1/9/2007 20 2 1 3 ‐ Yes WILTON JOSEPH C JR+PAMELA P 4081 23053 NE 128th PL Bainbridge Prairie 10/5/2004 17 2 ‐ ‐ Yes 25 Yes WOODCOCK JOHN E+JOANNA G 6220 23121 NE 124th PL Hemlock C 1/28/2003 28 3 29 2 Yes 25 Yes WRIGHT BETTY B+TERRY L 3320 13411 ADAIR CREEK WAY NE Union B 1/24/2007 unk unk ‐ ‐ Yes WRIGHT PAUL J JR+NANCY T 6220 24180 NE 131st TER Hemlock C 9/11/2007 10 1 29 2 20 Yes WRIGHT ROBERT W+BARBARA C 4091 22885 NE 129th PL Vancouver C 5/17/2005 17 1 5 ‐ Yes 3 Yes YOUMANS FREDERICK+MARY 2020 11648 239th AVE NE Townsend C 5/2/2002 13 1 13 1 Yes 10 Yes YOUNG DONALD E+YOUNG NANCY C 6220 12457 ADAIR CREEK WAY NE Hemlock A 6/14/2012 6 1 ‐ 2 2 Yes YOUNG ROBERT C+NANCY A 6220 12333 235th PL NE Hemlock C 8/22/2002 27 2 29 2 Yes 20 Yes ZAMBROWSKY SHEILA I 3310 23107 NE 128th PL Chelan Craftsman 6/15/2004 12 2 ‐ 2 Yes ‐ Yes ZANIKER ELEANOR H 3320 24314 NE VINE MAPLE WAY Union A 11/1/2005 24 2 3 ‐ Yes 30 Yes ZIMMERMAN RONALD S+JUDITH K 6240 23628 NE 135th WAY Cedar Craftsman 9/26/2006 14 2 15 4 6 Yes ZYTKOWICZ NANCY 3320 23037 NE 128th PL Union A 8/10/2004 24 2 3 ‐ Yes 33 Yes

*Fields marked unknown or "unk" are presently unknown but will be determine upon completion of Plaintiffs home inspections and provided to Defendant no later than initial disclosures. Page 6 of 6