CaseCase 2:06-cv-04197-DMC-MF 2:33-av-00001 Document Document 339-1 1-1 Filed Filed 09/05/2006 09/05/2006 Page Page 1 of 1 7 of 7

Michael S. Stein, Esq. Gary Stein, Esq. Sean Mack, Esq. PASHMAN STEIN, P.C. Court Plaza South 21 Main Street Hackensack, New Jersey 07601 (201) 488-8200

Steven M. Pesner, Esq. David Zensky, Esq. Joseph L. Sorkin, Esq. Kathleen C. Leicht, Esq. AKIN GUMP STRAUSS HAUER & FELD LLP 590 Madison Avenue New York, New York 10022 (212) 872-1000

Attorneys for Defendants Exis Capital Management, Inc., Exis Capital, LLC, Exis Differential Partners, L.P., Exis Integrated Partners, L.P., Adam D. Sender, and Andrew Heller

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEW JERSEY

FAIRFAX FINANCIAL HOLDINGS LIMITED, and CRUM & FORSTER HOLDINGS CORP.,

Plaintiffs, Civ. Action No. ______

- against -

S.A.C. CAPITAL MANAGEMENT, LLC, S.A.C. CAPITAL ADVISORS, LLC, S.A.C. CAPITAL ASSOCIATES, LLC, S.A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L.P., EXIS INTEGRATED PARTNERS, L.P., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER

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PARTNERS, L.P., COPPER RIVER PARTNERS, L.P., DAVID ROCKER, THIRD POINT LLC, DANIEL S. LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD., MORGAN KEEGAN & COMPANY, INC., JOHN D. GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50,

Defendants.

NOTICE OF REMOVAL

TO THE HONORABLE UNITED STATES DISTRICT JUDGE:

PLEASE TAKE NOTICE that pursuant to 28 U.S.C. §§ 1331, 1367, 1441 et seq., and 15

U.S.C. §§ 77p and 78bb(f), Defendants, by their undersigned counsel and with a full reservation of any and all rights, claims, and defenses of any nature whatsoever, including but not limited to defenses related to service of process, jurisdiction, and venue, file this Notice of Removal seeking removal of this action from the Superior Court of the State of New Jersey, Law Division,

Morris County, in which the action is now pending, to the United States District Court for the

District of New Jersey and respectfully show:

Procedural Background

1. On July 26, 2006, Plaintiffs filed their Complaint, styled

Holdings Limited, et al. v. S.A.C. Capital Management, LLC, et al., Docket No. L-2032-06, in the Superior Court of the State of New Jersey, Law Division, Morris County.

2. Beginning on August 10, 2006, Plaintiffs attempted to effect service of the

Complaint, along with a summons, on the Defendants.

3. A copy of the Complaint is attached as Exhibit A.

4. Copies of all of the summons received by Defendants are attached as Exhibit B.

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5. Pursuant to 28 U.S.C. § 1446(a), Exhibits A and B constitute the only process,

pleadings and orders in this case.

Jurisdiction and Grounds for Removal

6. This Court has subject-matter jurisdiction of the action pursuant to 28 U.S.C. §§

1331, 1441(a), and 1441(b), and 1441(c) in that all or part of the relief being sought by Plaintiffs

arises under the laws of the United States, including without limitation 18 U.S.C. §§ 1341 and

1343, 18 U.S.C. § 1961 et seq., 15 U.S.C. §§ 78j, 78aa, and 78ff, and 17 C.F.R. § 240.10b-5. To

the extent that Grable & Sons Metal Prods., Inc. v. Darue Eng’g & Mfg., 125 S. Ct. 2363, 2366

(2005), constitutes an independent basis to remove, separate from 28 U.S.C. § 1441, Defendants rely on it to support this Notice of Removal as well.

7. Additionally, this Court has subject-matter jurisdiction pursuant to 28 U.S.C. §

1331 because the Securities Litigation Uniform Standards Act of 1998 (“SLUSA”), 15 U.S.C.

§§ 77p and 78bb(f), authorizes removal.

8. This Court also has subject-matter jurisdiction pursuant to 28 U.S.C. § 1367(a) because all claims are so related to claims over which this Court has original jurisdiction that they form part of the same case or controversy under Article III of the United States

Constitution.

9. Pursuant to 28 U.S.C. § 1441(a), removal to the United States District Court for the District of New Jersey is proper as this is the federal district court for the district and division embracing the place where the state court suit is pending.

10. This Notice of Removal is being filed within thirty (30) days of the receipt of the summons and complaint of the first-served defendant, as required by 28 U.S.C. § 1446(b).

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11. All defendants have consented to removal either by signature below, or by consents to this removal which are attached as Exhibit C.

12. On information and belief, the fictitious defendants named in the Complaint as

Does 1 through 50 have never been served or identified by plaintiffs. Plaintiffs make no allegations from which their actual identity or existence can be determined.

13. Pursuant to 28 U.S.C. § 1446(d), written notice of the filing of this Notice of

Removal will be provided to plaintiff, and a copy of this Notice will be filed in the appropriate state court.

WHEREFORE, notice is given that this action is removed from the Superior Court of the

State of New Jersey, Law Division, Morris County, to the United States District Court for the

District of New Jersey.

Dated: September 5, 2006

PASHMAN STEIN, P.C.

By:_/s/ Sean Mack______Michael S. Stein Gary Stein Sean Mack Court Plaza South 21 Main Street Hackensack, New Jersey 07601 (201) 488-8200

-and-

AKIN GUMP STRAUSS HAUER & FELD LLP Steven M. Pesner David Zensky Joseph L. Sorkin Kathleen C. Leicht 590 Madison Avenue

4 New York, New York 10022 (212) 872-1000

Attorneys for Defendants Exis Capital Management, Inc ., Exis Capital, LLC, Exis Differential Partners, L. F, Exis Integrated Partners, L .P., Adam D. Sender, and Andrew Heller

MCCAR:FL' &, NGLISH LLP gy. ew T. Berry Joseph T. Boccassini Robert A. Mintz Four Gateway Center 100 Mulberry Street Newark, New Jersey 07102 (973) 622-4444

-and-

WILLKIE FARR & GALLAGHER LLP Martin Klotz Tariq Mundiya 787 Seventh Avenue New York, New York 10019 (212) 728-800 0

Attorneys for S.A. C. Capital Management, LLC, S.A.C. Capital Advisors, LLC, S A . C. Capital Associates, LLC, S .A.C. Healthco Funds, LLC, Sigma Capital Management, LLC, and Steven A. Cohen

ROSENBERG FELDMAN SMITH LLP

By: Stephen Rosenberg 551 Fifth Avenue, 24 ' Floor New York, New York 10176 (212) 682-345 4

-5- Attorneys for Defendants Max Bernstein and Spyro Contogouris

LOWENSTEIN SANDLER P.C.

By: Gavin J . Rooney Michael J . Hahn 65 Livingston Avenue Roseland, New Jersey 07068 (973) 597-2500

Attorneys for Defendants Copper River Partners, L. P. f/k/a Rocker Partners, L. P. and David Rocker

DECHERT LLP

By: ----- David A. Kotler Princeton Pike Corporate Center 997 Lenox Drive Building 3, Suite 210 Lawrenceville, New Jersey 08648 (609) 620-320 0

Robert J . Jossen 30 Rockefeller Plaza New York, New York 10112 (212) 698-363 9

Attorneys for Defendants Third Point LLC, Daniel S. Loeb, and Jeffrey Perry

SCHWARTZ S MON EDELSTEIN CELSO & KESSLER LLP

By: Stephen Y. Edelstein Donald A. Kessler Ten James Street Florham Park, New Jersey 07932 (973) 301-000 1

6 CARRINGTON, COLEMAN, SLOMAN & BLUMENTHAL, LL P

Bruce W. Collins Sharon J . Shurnway 901 Main Street Suite 5500 Dallas, Texas 75202 (214) 855-3000

Attorneys.fot Defendants Morgan Keegan & Co., Inc. and John D. Gwynn

BAK BOTTS LLP By: Richard B. Harper Margaret Nolan 30 Rockefeller Plaz a New York, New York 10112 (212) 408-2500

Attorneys .for Defendants Trinity Capital of Jacksonville, Inc. and Trinity Fund . Ltd.

QUINN EMANUEL URQUHART OLIVER & HEDGES, LLP

By: 4vu Michael B . Carlinsky Partha P. Chattoraj 51 Madison Avenue 22T'd Floor New York, New York 10010 (212) 849-7000

Attorney s for Defendant Christopher Brett Lawless

7 Exhibit A Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 L~ .

(973) 618-0400 r ~l 1

V l Marc E. Kasowitz, Esq. Daniel R. Benson, Esq. Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFFS X FAIRFAX FINANCIAL HOLDINGS LIMITED, and CRUM & FORSTER HOLDINGS CORP .,

Plaintiffs, SUPERIOR COURT OF NEW JERSEY - against LAW DIVISION: MORRIS COUNTY

S.A.C. CAPITAL MANAGEMENT, LLC, S .A.C. DOCKET NO . CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S .A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL Civil Action MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L .P., EXIS INTEGRATED PARTNERS-, L.P ., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX COMPLAINT AND JURY DEMAND BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L.P., COPPER RIVER PARTNERS, L.P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC ., TRINITY FUND, LTD., MORGAN KEEGAN & COMPANY, INC., JOHN D. GWYNN,tHRISTOPHER BRETT LAWLESS, and DOES I THROUGH 50,

Defendants . Plaintiffs Fairfax Financial Holdings Limited ("Fairfax Holdings") and Crum & Forster

Holdings Corp. ("C&F" and, together with Fairfax Holdings, "Fairfax" or "plaintiffs"), complaining against defendants S.A.C. Capital Management, LLC ("S .A.C. Capital

Management'), S.A.C. Capital Advisors, LLC ("S.A.C. Capital Advisors"), S.A.C. Capital

Associates , LLC ("S .A.C. Capital Associates"), S .A.C. Healthco Funds, LLC ("S .A.C.

Healthco"), Sigma Capital Management, LLC ("Sigma"), Steven A. Cohen ("Cohen"), Exis

Capital Management, Inc. ("Exis Capital Management"), Exis Capital, LLC ("Exis Capital"),

Exis Differential Partners, L .P. ("Exis Differential "), Exis Integrated Partners, L .P . ("Exis

Integrated"), Adam D. Sender ("Sender"), Spyro Contogouris ("Contogouris"), Max Bernstein

("Bernstein"), Andrew Heller ("Heller"), Lone Pine Capital LLC ("Lone Pine Capital"), Lone

Pine Members LLC, Lone Pine Associates LLC, Rocker Partners, L.P. ("Rocker Partners"),

Copper River Partners, L .P. ("Copper River"), David Rocker ("Rocker"), Third Point LLC

("Third Point"), Daniel S. Loeb ("Loeb"), Jeffrey Perry ("Perry"), Trinity Capital of

Jacksonville, Inc. ("Trinity Capital"), Trinity Fund , Ltd. ("Trinity Fund"), Morgan Keegan &

Company, Inc. ("Morgan Keegan"), John D. Gwynn ("Gwynn"), Chri stopher Brett Lawless

("Lawless"), and Does 1 through 50, say as follows:

PRELI W1 ARY STATEMENT

1. This action arises from a massive, illegal and continuing stock market manipulation scheme, which has targeted and severely harmed Fairfax, among other companies, and which has resulted in immense ill-gotten profits for S .A.C. Capital, Exis Capital, Lone Pine

Capital, Third Point, Rocker Partners, Trinity Capital, and other extremely powerful hedge funds.

2 2. This scheme involved: defendants' preparation of a massive and fraudulent disinformation campaign attacking Fairfax and other targeted publicly-traded companies, including the preparation of ostensibly objective, but in fact biased, negative stock analyst reports; defendants' accumulation of short positions in the stock of those companies -- i .e., bets that the stock pri ces would decline ; and defendants' subsequent unleashing of the disinformation campaign and biased analyst reports -- thus bringing about the sought-after stock price declines and resulting immense profits for the defendants.

3 . Defendant S .A.C. Capital Management and its affiliates (collectively, "S .A.C:

Capital" or S .A.C."), are at the center of this illegal scheme, along with a number of other powerful hedge funds , including S .A.C. spin-off Exis Capital, Lone Pine Capital, Third Point,

Rocker Partners, and Trinity Capital. These hedge funds have immense power in the financial markets . Cohen alone, through his control over and interests in S.A.C. Capital and other hedge funds, controls at least $7 billion in capital, with his trading activity regularly accounting for 3% of the daily volume of trading on the New York Stock Exchange ("NYSE").

4. Fairfax -- one of the scheme 's targets -- is an and financial services company operating in C anada and the United States , including New Jersey . Fairfax and its operating divisions employ almost 8,000 people worldwide.

5. Beginning in or about December 2002, after Fairfax's stock was listed on the

NYSE, S.A.C. Capital and the other defendants launched a devastating attack -- which the conspirators themselves referred to as the "Fairfax Project" -- on Fairfax, its business, and its stock. In furtherance of their scheme, defendants, after having taken short positions in Fairfax stock, engaged in an organized effort to damage severely, if not destroy, Fairfax and its affiliated companies by, among other things :

3 • Disseminating false and misleading information concerning Fairfax directly to those most critical to Fairfax's business, including its employees, executives, shareholders, bankers, regulators and rating agencies;

• Disseminating false and misleading information to the markets and the public through purportedly independent analyst reports, statements to the financial press, and the wholesale manufacture of bogus accounting and business issues ;

• Engaging in a long-term campaign of personal harassment of present and former employees, executives and shareholders of Fairfax, including personal attacks delivered to executives' clergy and family members ; and

• Attempting to instigate regulatory investigations of Fairfax by providing false and misleading information and documentation to regulatory agencies .

6. Defendants' attack against Fairfax has been aimed at damaging, if not destroying ,

Fairfax and its business, so that the short-selling defendants could profit from the resulting

drastic decline in Fairfax's stock price . Moreover, at those times since December 2002 when

Fairfax's stock price would recover based on Fairfax's positive business results and sound

business plan, defendants only intensified their efforts . Defendants went to such lengths to try to

destroy Fairfax that they threatened, harassed and sought to intimidate Fairfax's high-level

executives and their families, and they disseminated widely in the market false and defamatory

rumors, including, for example, rumors that Fairfax's CEO had absconded with stolen company

funds and was being pursued by the Royal Canadian Mounted Police .

7. Defendants' egregious misconduct brought about their intended result -- further

severe dan iage to Fairfax's business and further massive declines in Fairfax's stock price .

8. Fairfax brings this action to recover no less than $6 billion in compensatory damages, as well as punitive and treble damages for defendants' egregious misconduct, and injunctive relief barring defendants from continuing to perpetrate their scheme . THE PARTIES

9. Plaintiff Fairfax Holdings is a financial services organized under the laws of Canada, with its principal place of business at 95 Wellington Street West,

Toronto, Ontario, Canada .

10. Plaintiff C&F is a holding company organized under the laws of Delaware, wit h its principal place of business at 305 Madison Avenue, Morristown, New Jersey.

11 . Defendants S.A.C. Capital Associates, S.A.C. Capital Management, and S.A.C.

Capital Advisors operate and manage, directly or indirectly, various hedge funds (includin g defendants S.A.C. Healthco and Sigma), are organized under the laws of Delaware, and maintai n their principal places of business at 72 Cummings Point Road, Stamford, Connecticut .

12. Defendant S.A.C. Healthco is a hedge fund organized under the laws of Anguilla ,

British West Indies, with its principal place of business at 540 Madison Avenue, New York, New

York.

13 . Defendant Sigma is a hedge fund organized under the laws of Delaware, with its principal place of business at 540 Madison Avenue, New York, New York .

14. Defendant Cohen resides at 30 Crown Lane, Greenwich, Connecticut . Cohen founded and, directly or indirectly, owns, controls and manages S .A.C. Capital Associates,

S .A.C. Capital Management, S .A.C. Capital Advisors, Sigma, S.A.C. Healthco (collectively with

Cohen, the "S.A.C. Defendants") and various other hedge funds. Cohen controls, dominates, and operates S .A.C. Capital without regard to their putatively separate legal form and existence, such that each is the alter ego of the others and of Cohen. In addition, as set forth herein, Cohen and

S.A.C. Capital abused the corporate form by using the entities they control and operate to perpetrate a fraud and injustice.

5 15. Defendant Exis Capital Management is a corporation organized under the laws o f

Delaware, with its principal place of business at 875 Third Avenue, New York, New York .

16. Defendant Exis Capital is a limited liability company organized under the laws o f

Delaware, with its principal place of business at 875 Third Avenue, New York, New York .

17. Defendant Exis Differential is a limited partnership organized under the laws o f

Delaware, with its principal place of business at 875 Third Avenue, New York, New York .

18. Defendants Exis Integrated is a limited partnership organized under the laws o f

Delaware, with its principal place of business at 875 Third Avenue, New York, New York .

19. Defendant Sender is a co-founder of Exis Capital Management. Sender resides at

109 Greene Street, New York, New York .

20. Defendant Contogouris is an employee of Exis Capital Management .

Contogouris resides at 12 East 78th Street, New York, New York.

21. Defendant Bernstein is an employee of Exis Capital Management. Bernstein

resides at 401 East 34th Street, New York, New York .

22. Defendant Heller is the Chief Executive Officer of Exis Capital Management .

Heller resides at 200 East 66th Street, New York, New York . Defendants Exis Capital

Management, Exis Capital, Exis Differential, Exis Integrated, Sender, Contogouris, Bernstei n

and Heller are collectively referred to as the "Exis Defendants ."

23 . Defendants Lone Pine Capital, Lone Pine Members LLC, and Lone Pin e

Associates LLC (collectively, the "Lone Pine Defendants") are limited liability companies

organized under the laws of Delaware, with their principal place of business at 2 Greenwich

Plaza, Greenwich, Connecticut .

6 24. Defendant Rocker Partners is a limited partnership organized under the laws o f

New York, with its principal place of business at 374 Millburn Avenue, Millburn, New Jersey .

25. Defendant Copper River, is the successor to Rocker Partners, and is organize d under the laws of New York, with its principal place of business at 374 Millburn Avenue,

Millburn, New Jersey.

26. Defendant Rocker was, during times relevant to the complaint, the primary owne r and manager of Rocker Partners . Rocker resides at 43 Minnisink Road, Short Hills, New Jersey.

Defendants Rocker Partners, Copper River and Rocker are collectively referred to as the "Rocke r

Defendants."

27 . Defendant Third Point is a limited liability company organized under the laws o f

Delaware, with its principal place of business at 390 Park Avenue, New York, New York.

28 . Defendant Loeb is the Chief Executive Officer of Third Point . Loeb resides at

7 MacDougal Alley, New York, New York.

29. Defendant Perry is an employee of Third Point . Perry resides at 9 Wayside Lane,

Scarsdale, New York. Defendants Third Point, Loeb and Perry are collectively referred to as th e

"Third Point Defendants ."

30. Defendant Trinity Capital is organized under the laws of Flo rida, with its principal place of business at 1819 Goodwin Street, Jacksonville, Florida.

31 . Defendant Trinity Fund is organized under the laws of Florida, with its principal place of business at 1620 Independent Square, Jacksonville, Florida. Defendants Trinity Capital and Trinity Fund are together referred to as the "Trinity Defendants ."

32 . Defendant Morgan Keegan is a corporation organized under the laws o f

Tennessee, with its principal place of business at 50 Front Street, Memphis, Tennessee .

7 33 . Defendant Gwynn is an employee of Morgan Keegan . Gwynn resides at 220 5

Poplar Drive, Memphis, Tennessee . Defendants Morgan Keegan and Gwynn are together referred to as the "Morgan Keegan Defendants ."

34. Defendant Lawless was an analyst for Fitch Ratings and currently is an analyst fo r the Center for Financial Research & Analysis ("CFRA"). Lawless resides at 860 Old Chester

Road, Far Hills, New Jersey.

35. Does 1 through 50, whose identities are presently unknown to plaintiffs, includ e the limited and general partners of the named defendants, as well as affiliates, co-venturers, co- conspirators, and/or aiders and abettors of the named defendants in the scheme, enterprise, and misconduct alleged in this complaint, including, among others, Canadian and United States financial analysts and portfolio managers .

36. Plaintiffs and numerous defendants regularly conduct business in the County of

Morris in the State of New Jersey .

STATEMENT OF FACTS

A. The Criminal Enterprise

1. The Criminal Schem e

37. This action arises from a massive, illegal and continuing stock market manipulation scheme, which has targeted and severely harmed Fairfax, among other companies , and which has resulted in immense ill-gotten pro fits for S.A.C . Capital, Exis Capital, Lone Pin e

Capital, Third Point, Rocker Partners, Trinity Capital, and other extremely powerful hedg e funds .

8 38. As it relates directly to Fairfax, the scheme involves the concerted efforts of a

group of hedge funds, purportedly independent analysts, and their cohorts, who engaged in a n

organized effort to destroy Fairfax and its affiliated companies by, among other things :

• Undermining confidence in Fairfax and its business by disseminating false and misleading information concerning Fairfax directly to Fairfax's employees, executives, shareholders, bankers, and rating agencies;

• Disseminating false and misleading information through purportedly independent analyst reports, false and misleading statements to the financial press, and the wholesale manufacture of bogus accounting and business issues that have no basis in fact;

• Engaging in a long-term campaign of harassing present and former employees, executives and shareholders of Fairfax, including personal attacks delivered to executives' clergy and family members;

• Attempting to instigate regulatory investigations of Fairfax by providing false and misleading information and documentation to regulatory agencies .

39. Defendants intend to profit from the destruction of Fairfax -- dubbed the "Fairfa x

Project" -- by short-selling Fairfax's publicly-traded securities -- that is, taking positions in those

securities that would be profitable only if Fairfax's stock price declined. A "short seller" or

"short" borrows stock from a lender and sells the borrowed stock, expecting that the price of the

stock will decline, and that he will therefore be able to purchase the stock later at a lower price,

return the stock to the lender and keep the profit . The scheme also employed various "short-

equivalent'' trading strategies -- such as the purchase of "put" or "swap" options -- that likewise

profited from future declines in the stock price of targeted companies . And naked shorting,

which was used to establish large short positions in Fairfax without generating price spikes due to the extremely low number of shares actually locatable for shorting .

40. Defendants' scheme goes beyond the attack on Fairfax and has targeted man y dozens, if not hundreds, of other publicly- traded companies, as well. Typically, under the scheme, the defendants, in concert with one another and others, drove down the price of stocks in which they had taken short positions by, among other means, disseminating materially false and misleading information, orchestrating negative news articles, commissioning, dictating, o r otherwise influencing unwarranted, false and exaggerated negative reports from biased stock analysts, and using such manufactured misinformation to engender investor suspicion and legal and regulatory scrutiny.

41 . The defendants, in concert with one another and others, also exploited advanc e access to material non-public confidential information that was shared with them in violation of various fiduciary relationships or otherwise misappropriated . The defendants traded on such material non-public information by shorting stocks before the release of unfavorable information, reducing short positions and/or taking long positions before the release of positive information, and executing various trading strategies otherwise designed to exploit trading volume and volatility surrounding the release of the anticipated information .

42. These targeted companies suffered enormous damage as a direct consequence of the scheme, which, among other things, directly and materially interfered with their ability to conduct business, implement strategic plans, secure necessary capital, and maintain employee morale, productivity, and recruiting . The scheme also inflicted enormous financial harm on investors in the targeted companies, who collectively lost many billions of dollars to the defendants who reaped correspondingly enormous profits at the expense of those innocent investors .

10 2. The Enterprise Members

43 . The illegal stock manipulation scheme hereinafter described (the "Enterprise") was devised and executed by an association, associations, and associations-in-fact comprised of , among others, the following :

a. The S.A.C. Defendants

44. The S .A.C. hedge funds derive their names from the initials of their founder and leader Steven A. Cohen. Cohen is known in the industry as the "most powerful trader on Wall

Street you've never heard off" because of the "highly secretive and stupendously successful

S .A.C. funds he controls ." Through S.A.C. Capital, Cohen controls no less than $7 billion and regularly accounts for 3% of the NYSE daily volume and I% of the NASDAQ daily volume .

These investment dollars are channeled through several different "portfolio companies" or funds

-- including a core fund, a global diversified fund, a health-care fund, and defendant Sigma fund

(comprised of Cohen's personal monies), all of which Cohen manages in a highly integrated and hands-on fashion .

45 . Cohen' s market influence , however, extends much further than the S .A.C. funds he directly controls. In addition to the billions he controls directly through those funds, he has also invested billions more in non-S.A.C. funds, including funds formed by former S .A.C. managers who are required to agree as a condition of S .A.C. employment to permit Cohen to hold up to a 50% interest in any hedge funds they form after leaving S .A.C. Through such

"satellite" fund investments, Cohen is better able to mask his trading strategies and the frequent market manipulation employed in executing those strategies . Consequently, Cohen personally has one of, if not the, most powerful market-moving capabilities on Wall Street .

11 46. In the first 12 years since he formed S .A.C. Capital Advisors, Cohen had regularly generated incredible returns in the range of 40% per annum. Reflecting this extraordinary performance, investors pay him a 50% success fee, far above the 20% industry standard. As a result, Cohen's annual S .A.C.-management fee regularly has exceeded $400 million, which is in addition to profit he earns on his own monies invested in Sigma and other

S.A.C. and non-S.A.C . funds.

47. Unlike most hedge funds, S .A.C. seeks no volume discount on its enormous trading costs and commissions, and consequently pays over $150 million in annual commissions

-- making it one of Wall Street's top ten trading customers . In addition, S.A.C. frequently purchases secondary offerings, that include substantial built-in brokerage commissions for banks, and thereby further increases S .A.C.'s already substantial financial leverage and influence .

Cohen uses this enormous financial leverage to support S .A.C.'s trading strategies by demanding access to material non-public information from financial institutions with whom S .A.C. does business, including non-public inside information concerning public companies and other clients to whom those institutions owe fiduciary and other duties of non-disclosure, and the substance and timing of reports and recommendations being issued by analysts for those institutions .

Financial institutions and their employees understand -- because S .A.C . has told them -- that .a failure to provide such information will result in the loss of S .A.C.'s substantial business .

48 . S.A.C. uses its enormous financial leverage to not only extract and trade o n material non-public information but also to actually dictate the substance and timing of certain material information being disseminated to the market . For example, S .A.C. regularly uses its substantial financial leverage to direct and influence the analysis and recommendations of purportedly independent stock analysts and the time such analysis and recommendations ar e

12 issued to the market, without any disclosure of the material conflict of interest reflected by its

leverage and influence. Like S .A.C.'s demand for material non-public information, it is now

simply understood in the industry that failing to provide influence and control over the substance

and timing of analyst reports will result in the loss of S .A.C.'s substantial business.

49. S.A.C. directly or through its . affiliates or satellite funds is an important Morgan

Keegan client, and Gwynn collaborates closely with S .A.C., including with Steven Cohen, who

he speaks with directly both in person and in more frequent telephone communications .

50. To maximize- the impact of its access to material non-public information an d

control and influence over the substance and timing of analyst reports, S .A.C. focuses on stocks

with valuations easily influenced by market information such as thinly traded stocks, small to

modestly capitalized stocks, and stocks in volatile sectors . S.A.C. rarely invests in such

companies long-term but instead pursues short-selling or event-driven trading strategies based on

S.A.C.'s access to -- and control over -- material non-public information, and the substance and

timing of stock analyst reports .

51 . To maximize the use of S .A.C.'s substantial market influence, under Cohen' s

direction, S .A.C. also places extreme pressure on its traders, managers, employees, and agents to

produce at all costs . S.A.C. generates such intense pressure by, among other things, imposing

what is described internally at S.A.C. as an "'eat what you kill" compensation scheme under

which compensation depends on individual trading performance and not -- as is the industry

norm -- on the fund's overall performance . Those who fail to produce are quickly terminated :

"At S.A.C., you either perform or you're dead," according to one public report by an insider .

Such policies ensure that those who remain at S .A.C. are willing and capable of doing whatever it takes to secure the extraordinary performance Steven Cohen demands . The enormous pressure

13 to perform at S .A.C. was particularly acute in 2003 after Cohen had experienced what insiders called his "very disappointing" 14% returns and $100 million in management fees in 2002 .

52. From spring 2003 to the present -- as it had in the past -- the S .A.C. Defendants orchestrated short-selling "bear attacks" on numerous publicly traded companies, including

Fairfax. They prosecuted these attacks on Fairfax and other targeted companies by, among other things, paying, pressuring, and otherwise influencing purportedly independent analysts and others working with S .A.C. to disseminate materially false and misleading information about the business, accounting, and corporate governance of these targeted companies . These materially misleading misinformation campaigns devastated the targeted companies by tarring their business reputations, eroding investor confidence, and devastating management and employee morale and focus, and thereby artificially driving down the stock price to the enormous benefit of the short-selling hedge fund defendants and the extreme detriment of the companies and their legitimate investors .

53. The financial firms and associated analysts with which S .A.C. regularly doe s business directly, and indirectly through Cohen's satellite funds, include defendants Morgan

Keegan and Gwynn . As a result of S.A.C.'s frequent communications with Morgan Keegan and

Gwynn, S.A.C. learns when Gwynn intends to issue reports and what they will say and, indeed, frequently directs Gwynn on when to issue reports and what to say .

b. The Exis Defendant s

54. In 1998, Sender and Ken Lissak, highly-successful S .A.C. traders and senior

Cohen lieuten ants, left S .A.C. to form hedge farad Kadem Capital ("Kadem") . Like S .A.C .,

Kadem charge a 50% success fee, concentrated its focus on short-selling, used trading and ofhe r financial leverage to influence the substance and timing of market moving analyst reports, an d

14 used purportedly "custom" research reports in order to disseminate its own views supportive of its trading positions disguised as independent and unbiased research .

55. In its first four years, Kadem enjoyed average annual returns in excess of 30% .

At the end of 2001, Sender bought out Lissak's interest in Kadem and changed the name to Exis

Capital Management. By late 2003, Exis was managing over $1 .5 billion and pursued high-risk trading strategies, including in high-risk illiquid positions such as concentrated short-selling bets .

S.A.C. and Cohen also are investors, directly and indirectly, in Exis, and Sender and Cohen collaborate in carrying-out attacks on companies in whose stock they have taken short positions.

Also like S .A.C., Exis is a significant client of Morgan Keegan and has substantial influence over Gwynn, with whom Exis also collaborates closely .

56. However, beginning in December 2003, Exis suffered staggering losses, massiv e investor redemptions and personnel defections as a result of a concentrated short position in

BlackBerry-maker Research in Motion ("RIM") when that company's stock price jumped 50% on December 23 and continued to increase over the next six months . By June 2004, Exis had shrunk to a $700 million fund and was struggling to retain its remaining investors . To salvage his reputation and business, Sender blamed Kenneth Grant ("Grant"), also formerly of S .A.C., for this investment debacle. Although Exis survived, the fund suffered for years as investors went elsewhere . Accordingly, it was critical to Exis's continued survival that there be no such additional short-selling disasters .

57. According to published reports; Sender employs persons who utilize "unorthodox methods" to "get the job done ." For example, in connection with a failed investment, Sender retained the now incarcerated private detective Anthony Pelicano to "ensure that Sender got his money back." As part of that effort . Pelicano engaged in illegal wiretapping that Sender knew

15 about, and knew was illegal, but did nothing to stop . Likewise, as set forth more fu lly below, when Sender faced catastrophic short-selling losses in Fairfax stock, he turned to anothe r shadowy operative who utilized "unorthodox" and illegal methods to drop the price of stocks hi s clients had sold short.

58. Defendant Heller grew up with Sender, who laterappointed him the Chief .

Executive Officer of Exis . Along with Sender, Heller approved, managed, and participated in . the illegal short-selling activities. against Fairfax that are described in detail below .

c. Spyro Contogouris

59. Spyro Contogouris is an operative for short-selling hedge funds that pay him t o drive down the price of stocks in which they have large short positions and otherwise to secure material non-public information on which they trade. To secure this objective, Contogouris disseminates materially false, misleading, and unfounded disinformation about target companies to their employees, shareholders, analysts, partners, customers, and other important constituencies . This dissemination occurs through, among other things, (a) anonymous or' misrepresented telephone calls, e-mails and personal communications; (b) stock research reports

Contogouris prepares and circulates without disclosing -- as required by law -- his financial relationship with persons shorting that stock; (c) stock research reports prepared by third-parties who were paid or otherwise influenced to support short-sellers; and (d) orchestrating stories in the media based on such disinformation .

60. In addition to disseminating disinformation, Contogouris plans and direct s manipulative trading activity, attempts to instigate regulatory and law enforcement investigations, and interferes with the target's business by harassing, threatening, intimidating ,

16 and distracting its employees, officers, directors and critical business relations . Through this same approach to market insiders, Contogouris attempts to elicit material inside information .

61 . Contogouris worked for and was compensated by or on behalf of various

Enterprise members, including but not limited to Exis, S .A.C., and Third Point, not only to drive down the price of Fairfax stock (as well as other stocks) but to "bring down Fairfax" itself . As part of his work on Fairfax, Contogouris relocated to New York City and with his cohort Max

Bernstein operated out of Exis's New York offices where they each had their own desks and phones. At times Contogouris and Bernstein identified themselves as Exis employees, at other times they represented that they were employees of a sham entity called Ml4 Reconnaissance, at other times they conflated the two by, for example, delivering business cards associating them with M14 Reconnaiss ance but listing as their phone number th e Exis phone number, and at still other times they identified themselves with aliases and false personas . Contogouris claims that he uses aliases and false personas to preserve his ability to deny his activities if ever forced to testify about such events -- that is, to preserve his ability to commit perjury .

62. Contogouris traveled frequently in support of the Enterprise's objective and was in regular discussions concerning his activities with, among others, Sender, Heller, Third Point,

Perry, S .A.C., Gwynn, Bernstein, Lawless and other Enterprise members. Contogouris pursued the Enterprise's Fairfax objectives aggressively by, among other things :

• Relentlessly disseminating highly misleading disinformation about Fairfax and Watsa to employees, shareholders, analysts, rating agencies, auditors, journalists, and regulators via, among other means, e-mail, bogus or corrupted "research" reports, internet chat boards, a defamatory "" website, and in personal meetings and telephone calls ;

• Harassing and intimidating senior executives, their staffs, and their families through anonymous or misrepresented communications, including communications or unsolicited "meetings" with Watsa's executive assistant ,

17 Pastor, family, and others ;

o Misappropriating material non-public information for the purpose of supporting the Enterprise's trading strategy and attempting to coerce insiders into cooperating with him; and

• Orchestrating negative analyst coverage -- particularly through Gwynn, as well as through M14 Reconnaissance reports -- and news as well as manipulative trading activity in Fairfax stock.

63. Contogouris has been the subject of numerous litigations, been judicially removed from fiduciary positions for abuses, and has been sanctioned in the past by courts for contemptable conduct.

d. Max Bernstein

64. Max Bernstein is a hedge fund operative who works with Contogouris . Like

Contogouris, Bernstein operates under various aliases and is and was responsible for implementing much of the Enterprise's intimidating, harassing, and defaming conduct against

Fairfax, including the transmission of highly defamatory and threatening communications and associated materials to Watsa's Pastor, his assistant, Fairfax's shareholders, analysts, and rating agencies .

e. The Third Point Defendants

65 . Third Point is a $4 .3 billion hedge fund based in New York City that is run by

Loeb. Perry is a senior advisor at Third Point. From 2003 to 2005, Perry was the co-manager with Jim Chanos at short-selling fund and Enterprise member Kynikos Associates, Ltd ., and from 2001-2003 was a senior portfolio manager at S .A.C. Capital Advisors . Perry worked and continues to work closely .with Contogouris in disseminating disinformation about Fairfax, including orchestrating negative press reports, republishing those negative press reports t o

18 Fairfax's shareholders, analysts, rating agencies, and others, and attempting to instigate regulatory investigations of Fairfax .

f. Trinity Capital

66. Trinity Capital is an approximately $500 million hedge fund headquartered i n

Jacksonville, Florida -- which is Enterprise member Gwynn's hometown -- with an office in

Memphis, where Morgan Keegan, Gwynn, and Gwynn's co-author Matt Cantrell ("Cantrell")

reside. George White is a principal of Trinity Capital and affiliated hedge funds, including

Wellspring Capital . Both Trinity and Wellspring Capital have long standing relationships with

Gwynn and are research clients of his and brokerage clients of Morgan Keegan . Cantrell's wife

managed the office of Trinity Capital until just before Gwynn and Cantrell initiated coverage on

Fairfax in early 2003 when she abruptly left Trinity to work at an affiliated fund in which White

was a principal .

g. The Rocker Enterprise Members

67. David Rocker was during times relevant to the complaint the primary owner and

manager of hedge fund Rocker Partners operating in Millbu rn, New Jersey. Like S .A.C., a

cornerstone of Rocker Partners success is its ability regularly to in fluence and direct the

substance and timing of analyst research -- both so-called "independent" and brokerage-based

research -- to support Rocker Partners sho rt positions . Rocker is also a substantial shareholder in

the financial news and commenta ry website TheStreet.com and other hedge funds and former

colleagues have publicly praised his "uncanny ability to entice a select number of journalists to

do negative stories on his short sales time and time again," which those familiar with Rocker

describe as "a key reason for his success ."

19 h. The Morgan Keegan Defendants

68 . Morgan Keegan is a mid-sized investment bank based in Memphis, TN and a subsidiary of Regions Financial Corp . Gwynn is an equities research analyst at Morgan Keegan focused on the insurance industry . In 1985, Gwynn`started an investment company called First

Coast Capital with a partner Willis Ball . In 1993, First Coast Capital failed and two years later

Gwynn filed for personal bankruptcy. Over the course of the next several years Gwynn worked as a research analyst for the Colorado office of a small securities firm, Montag & Joselson . In

2002 -- with the help of certain connections to powerful hedge funds with whom he had developed a relationship -- he became an insurance industry research analyst at Morgan Keegan, which was itself dependent on hedge fund business.

69 . Morgan Keegan's brokerage business and Gwynn's compensation are directly and indirectly dependent on the fees and commissions Morgan Keegan earns when large hedge funds direct their substantial trading volumes and other business to Morgan Keegan . Gwynn and the

Morgan Keegan head of equity capital, Collie Krausnick ("Krausnick") frequently travel to New

York and Connecticut to solicit business from major hedge funds including Enterprise members

S.A.C., Exis, Third Point, and Lone Pine . It is understood among Morgan Keegan, Krausnick, and Gwynn and these and other hedge fund clients that the quid pro quo for such business is advance notice of and influence over the release and content of analyst reports on companies in which these large clients have positions.

70. In the case of Fairfax, Gwynn collaborated with certain hedge funds, including

Enterprise member Trinity.Capital,. in developing extreme criticisms of Fairfax to support both short-term and long-term shorting strategies dubbed "the Fairfax Project ." Gwynn communicated these developed criticisms and his intention to release a highly negative report

20 containing those criticisms in a series of road show presentations to major hedge funds including, among others S .A.C., Lone Pine, Kynikos, Highfields, Greenlight Capital, and Perry Capital .

The hedge funds participating'in this discussions understood at their conclusion that Gwynn intended to initiate coverage of Fairfax with an extremely critical report, they understood and contributed to the substance of the criticisms to be included in the report, and they understood that the report's release would be timed to provide them an opportunity to establish their short positions. These critical Morgan Keegan clients also understood that once they had established a short position in Fairfax, Gwynn would continue to support that position with negative reports until they covered . This understanding was critical because the Fairfax Project contemplated short-term and longer term components, the latter of which involved enormous potential exposure to the Enterprise if the stock price increased substantially .

i. Other Enterprise Members

71 . The Enterprise also includes other members known and unknown wh o participated in and facilitated the scheme, including but not limited to Lawless, John Hempton, and website Stocklemon.com each of whom individually and collectively collaborated and continue to collaborate in the disinformation campaign against Fairfax; hedge funds Perry

Capital, Viking Global Investors, Platinum Asset Management, Greenlight Capital, Lighthouse

Capital, Ziff Brothers, and Pequot Capital; and the trading and brokerage departments of major

Wall Street and less prominent firms that facilitated the Enterprise's manipulation of Fairfax stock by (a) rebroadcasting disinformation the Enterprise fed to them ; (b) engaging in manipulative trading practices to support the short-selling attack ; and (c) permitting Enterprise members to heavily short Fairfax stock in violation of short selling rules .

21 B. Fairfax

1. Fairfax's Business

72. Plaintiff Fairfax Holdings is an insurance and financial services holding company that owns, either wholly or substantially, several operating insurance companies and has been under present management since September 1985 . Fairfax Holding's corporate objective is to achieve a high rate of return on invested capital and build long-teen shareholder value. Fairfax

Holdings is publicly traded on the Stock Exchange and the New York Stock Exchange under the symbol "FFH ." Fairfax Holdings began trading on the New York Stock Exchange on

December 18, 2002, as a result of Fairfax's increasing focus on its United States-based business.

In 2003, Fairfax also switched to reporting its results in U .S. dollars.

73 . Fairfax Holdings itself is, and has been, operated by a very small group of people , who focus on strategic, financial and capital allocation activities for the entire holding company group, as well as monitoring the performance of those operating companies . Although the operating divisions employ almost 8,000 employees, there are only 50 employees at the holding company's Toronto headquarters .

74. The insurance operating companies generate a large amount of cash, which mus t be invested and can generate significant profits. One of the benefits of the structure of the

Fairfax group of companies is that the investment management for the insurance operating companies is centralized, with a focus on long-term , value-oriented total returns . This structure leaves the individual operating companies to focus without distraction on their insurance underwriting businesses.

75 . Fairfax operates its business, as it has for over twenty years, under certain guiding principles. Fairfax, as a matter of policy, takes a long-term view of its business and its investing.

22 Its focus is on benefiting its customers, shareholders and employees in the long-run, even i f pursuing those goals means that in a particular circumstance the company must sacrifice short- term profits -- and sometimes suffer short-term declines in stock price. Consistent with this approach, Fairfax's operational goal is to maximize long-term growth in book value per share and not quarterly earnings . Fairfax's growth strategy is focused on growing its internal

operations and business, in conjunction with friendly acquisitions . Between 1985 and 2005, book value per share has increased 100-fold from $1 .52 to $151 .52. This focus on long-term

growth has led Fairfax to eschew promotion and publicity, in contrast to many companies that

have been criticized for promoting their stock and neglecting their companies' operations .

Fairfax has instead tried to let its results speak for themselves.

76. Fairfax began in 1985 with one small trucking insurance company in Canada with

Cdn$14 million in premiums and Cdn$10 million in shareholders' capital . Since that time,

Fairfax has built three substantial, disciplined, underwriting-focused insurance and reinsurance

companies and a fledgling insurance business in Asia. Fairfax has an outstanding investment

team with a proven track record over the long-term and the ability to invest opportunistically

anywhere in the world .

77. Fairfax was founded, and continues to be led, by V . Prem Watsa ("Watsa"), th e

President and CEO . Watsa was born in Hyderabad, India and moved to London, Ontario in

1972. In 1985, an investment group controlled by Watsa purchased control of Markel Financial

Holdings, whose sole asset was a virtually bankrupt Canadian-based specialist trucking insurance

company . In 1987, the company was renamed Fairfax, short for "fair, friendly acquisitions."

Throughout the late 1980s and early 1990s, Fairfax bought a number of property and casualt y

insurers and restructured their operations . By 1993, Fairfax had over Cdn$1 billion in assets .

2 ; Watsa maintains effective voting control of Fairfax, but has limited his total compensation to

Cdn$600,000 each year, with no bonus or other profit participation and no participation in any equity plans (other than the employee payroll share purchase plan) or other equity incentives .

Thisallows Watsa's status as the company ' s largest voting shareholder to align his interests directly with those of Fairfax investors . In fact, Watsa currently has no material business interests or investments outside of his shareholdings in Fairfax, with the result that his net wo rth is substantially made up of his investment in Fairfax .

78. Fairfax takes its obligation to provide disclosure to its shareholders very seriously , and in circumstances where it is necessary to convey negative news, Watsa is straightforward and blunt in his assessment of the company's performance, telling investors directly when things have not gone as planned. For example, in the 2005 Annual Report, Watsa wrote that while

Fairfax had built a great roster of operating companies, it had not recently achieved the desired results: "The last seven years have been very disappointing to me personally, to the management of the company, to our Board and of course to you our shareholders ." This direct and plain discussion of the state of Fairfax's business, and the transparent and sound business plan, have attracted a loyal group of shareholders to Fairfax . As a result, its stock is very thinly-traded, with an average daily volume on the New York Stock Exchange of only approximately 165,000 shares traded, with a significant portion of that volume attributable to short sales .

79. Fairfax's insurance business is operated by a number of operating companies , which are decentralized and run by their respective presidents, except for performanc e

evaluation, succession planning, acquisitions and financing, which are done by or with Fairfax .

Complete and open communication between Fairfax and its subsidiaries is standard operatin g procedure at Fairfax . Share ownership and incentives are encouraged throughout the group in

24 order to align the interests of management with the shareholders of Fairfax and its operating companies.

80. Fairfax undertakes quarterly reviews of group-wide exposure to potential

catastrophic events and ensures that the operating companies are amply capitalized to address

any such events . In addition to monitoring at the Fairfax level, each of the subsidiary operating

companies regularly monitors potential exposure, analyzed by loss ratio impact, surplus impact,

risk/reward and market condition . Fairfax has a small, independent Board of Directors with

Watsa being the only non-independent management director . Fairfax's Audit Committee is

composed of all independent directors .

81 . Fairfax's investment portfolio, which had a total market value of $15 .2 billion as

of March 31, 2006, is managed in a conservative manner intended to emphasize capital

protection. As a consequence, there is a focus on maintaining large cash reserves, a high-quality

bond portfolio, a hedged equity portfolio, and credit default protection. Fairfax's long-term

investment performance has greatly exceeded applicable benchmarks ; for example, through

2005, Fairfax achieved an annualized rate of return of 19 .8% on its common stock investments

on behalf of its U.S. companies over the prior 15 years . By contrast, the Standard & Poor's 500

Index returned an annualized rate of return of 11 .5% over the same period .

a. Crum & Forster

82. Plaintiff C&F, based in Morristown, New Jersey, is a holding company wit h

national commercial property and casualty insurance subsidiaries in the United States writing a

broad range of commercial coverages . C&F is a Delaware holding company that is indirectly

100% owned by Fairfax Holdings . Fairfax Holdings purchased C&F from for $565

million in August 1998 .

25 83 . In 2005, C&F's net premiums written were $866.9 million. At-year-end 2005,

C&F had capital of nearly $1 billion and had 1,015 employees. C&F is focused on underwriting profitability: its average combined ratio l in the past four years is 105 .2% (93 .0% on an accident year basis excluding the 2004 and 2005 hurricanes) and it has earned an average return on equity since acquisition in August 1998 of 8 .3% (at the insurance company level) . C&F's debt is registered with the SEC, and it therefore has access to financing in the capital markets and consequently has substantial financial flexibility.

84. Based on the experience and underwriting expertise of its management, C&F , through its operating subsidiaries, writes new lines of business and expands existing classes of business depending upon market conditions and expected profitability, offers insurance products designed to meet specific insurance needs of targeted insured groups and underwrites specific types of coverage for markets that are generally underserved by the industry .

b. Northbridge Financial Corporation

85. Northbridge Financial Corporation ("Northbridge"), based in Toronto, Canada , provides property and casualty insurance products through its operating subsidiaries .

Northbridge is one of the largest Canadian commercial property and casualty insurers and writes insurance primarily in the Canadian market. In 2005, Northbridge's net premiums written were

Cdn$1,188 .5 million and, at year-end, Northbridge had capital of Cdn$1,026 .8 million and had

1,573 employees . Shares in Northbridge are publicly-traded on the Toronto Stock Exchange, and, as of year-end 2005, Fairfax owned 59 .2% of the outstanding shares . Northbridge is focused on underwriting profitability: its average combined ratio in the past four years has been

92.7% and it has earned a 16 .5% return on equity over 20 years at the insurance company level,

"Combined ratio" is a combination of the claims ratio and the expense ratio . A combined ratio below 100% generally indicates profitable underwriting prior to the consideration of investment income .

26 with no leverage. In addition, it has an admirable reserving track record : over the past ten years, it has had a weighted average annual redundancy of 4 .8% on an accident year basis .

c. Odyssey Re. Holdings

86. Odyssey Re Holdings Corp . ("Odyssey'Re"), a Delaware corporation based i n

Stamford, Connecticut, underwrites treaty and facultative reinsurance as well as specialty insurance business, with principal locations in the United States, Toronto, London, Paris,

Singapore and Latin America. Odyssey Re is a public company, traded on the New York Stock

Exchange. Odyssey Re operates its business through its principal operating subsidiaries.

87. At year-end 2005, Odyssey Re had capital of over $1 .5 billion and had 59 2 employees . Shares in Odyssey Re are publicly-traded on the New York Stock Exchange, and, as of year-end 2005 . Fairfax owned 80 .1 % of the outstanding shares . One of the largest broker reinsurance companies in the world, Odyssey Re has a global franchise with gross premiums in

2005 of $2.6 billion and net premiums of $2 .3 billion. It is focused on underwriting profitability : its average combined ratio in the past four years has been 102 .8% (86.6% on an accident year basis, excluding the 2004 and 2005 hurricanes) and it has earned an average return on equity for the four years since 2001, the year in which it went public, of 11 .1% .

2. The Critical Rating Agency Rol e

88. A number of independent agencies rate the financial strength of insurance companies. Each has its own rating scale, its own rating standards, its own population of rated

companies, and its own distribution of companies across its scale . Fairfax and its operating

companies are rated by several rating agencies, including A.M. Best, Standard & Poor's,

Moody's and Dominion Bond Rating Service.

27 89. The views of the ratings agencies are critical to the success and viability of th e businesses of Fairfax and its operating companies . Due to the nature of the insurance business, an insurer's most important asset is the confidence its customers have in the ability of the insurer to pay potential claims, now and many years in the future . A diminished rating from a rating agency will often cause customers to divert underwriting business to competitors and to avoid relationships with an insurer that possesses a subpar rating. A severe ratings downgrade has the potential to have an immediate and catastrophic effect on an insurer's business, effectively making it impossible for that insurer to write new business and driving it into "runoff ."

90 . As a result of the reliance that customers place on agency ratings, insurers , including Fairfax and its operating companies, work with the rating agencies to ensure that they have a full and accurate picture of the company's business . Also, as a result of the importance of agency ratings to the businesses of Fairfax and its operating subsidiaries, in the event tha t inaccuracies appear in reports issued by ratings agencies, it is the policy and practice of Fairfax and its operating companies to promptly discuss the inaccuracies with the rating agencies and to ensure that the rating agency in question has an accurate picture of the business.

C. The Relentless Criminal Short-Selling Attack on Fairfax

91 . In 2002, Fairfax announced its intent to apply for listing on the New York Stoc k

Exchange. At the time, the Enterprise members collaborated with Gwynn in developing an aggressive short-selling campaign to be driven by disinformation and corrupted and materially misleading equity research . This campaign was dubbed the "Fairfax Project ." The Fairfax

Project contemplated a short-term component based on a highly negative Morgan Keegan report that would created an immediate and dramatic drop in the price of Fairfax stock from which

Enterprise members would reap enormous profits; and a longer-term strategy to cripple Fairfax's business through a much more ambitious campaign of disinformation and dirty tricks .

28 1 . The Short-Term "Fairfax Proiect"

92. On December 16, 2002, Fairfax confirmed in a press release that its application for NYSE listing had been approved and the company would be .listed on December 18, 2002 .

Immediately upon listing, Enterprise members began shorting the stock aggressively . In order to facilitate the rapid accumulation of their short positions . Enterprise members listed (without any notice to or desire on the part of Fairfax) Fairfax shares on the Berlin Exchange, which they used to circumvent United States restrictions on short-selling. In addition, market makers working with Enterprise members permitted them to engage in substantial short-selling even though no

shares could be located to borrow or reasonably be expected to be located . In the first four

weeks of trading on the NYSE, short-selling accounted for as much as almost 60% of the trading

volume and the price declined $14 or 15% . By January 14, 2003, there were an astounding

two million Fairfax shares sold short.

93. After the members of the Enterprise had accumulated their desired short positions ,

stories fed by the Enterprise members began appearing in the media echoing the materially

misleading and unfounded criticisms the Enterprise had developed with Gwynn . Immediately

thereafter, on January 16, 2003, Gwynn initiated coverage on Fairfax with an "underperform"

rating in a report that contained the most incredible materially misleading and unfounded

criticisms, and ignored, dismissed, or diminished all positive and mitigating facts .

94. By way of example, Gwynn's January 16, 2003 report contained, among others,

the following materially false, misleading, and completely unfounded assertions :

® Fairfax was $5 billion under-reserved, when in fact no reasonable application of a credible reserve-setting methods would support anything remotely close to such a deficiency. Gwynn's calculation was based on a methodology that he understood was invalid and in violation of the most fundamental reserve setting practices .

29 a Fairfax's shareholder equity was negative $4 .4 billion; which was a number no credible methodology based on reasonable assumptions would support, and which Gwynn based on what he understood were unreasonable assumptions and invalid pseudo-methodologies . a Fairfax's reported goodwill of $180 million as of September, 30, 2002 was actually $0 and would not survive the FY 2002 year-end audit . No credible methodology based on reasonable assumptions would support thes e assertions, and Gwynn instead used what he knew were unreasonable assumptions and invalid pseudo-methodologies . - e Fairfax had no likelihood of securing realized gains for the 2003-2004 period, which was an assertion for which there was no reasonable basis and for which Gwynn understood there was no reasonable basis . a Fairfax's reported deferred tax asset of $1 .079 billion was unrecoverable and thus worthless, which was an assertion for which there was no reasonable basis and which Gwynn understood lacked a reasonable basis . a Fairfax failed to provide Mr. Gwynn access to management when in fact Mr. Gwynn wrote his report without making any genuine effort or request for access to management or attempts to verify his grossly unreasonable assumptions . The grossly distorted picture of Fairfax that these and other outright false and unfounded assertions created was substantially aggravated by GAynn' s completely omission of all positive

or mitigating facts .

95. Gwynn's repo rt accomplished the Enterp rise's intended objective. Promote d

heavily by the Enterprise and its operatives, the report's drastic assertions and their dire

implications garnered extraordinary attention and equally great concern . Fairfax's stock

plummeted 32% to an 8-year low on record volume 14-times higher than normal . By January

30, 2003, Fairfax stock had plummeted further to approximately $58 on substantially above-

average trading in the two weeks after the Enterprise issued the Gwynn report . Industry and

financial press sources uniformly cited Gwynn's report, and particularly his astounding assertion

that Fairfax was $5 billion under-reserved as the sole precipitating cause for this steep decline on

enormous volume .

30 96. With the stock price drop, Enterprise members began covering large portions of their short positions for enormous short-term profits . With the short-term component of the

Fairfax Project substantially complete, and unable to defend his absurd reserve estimates, on

January 30, 2003, Gwynn released a report admitting that his estimated reserve deficiencies were wildly inflated by over $2 billion or (40%) and his shareholder equity estimates were wildly understated by over $2 billion . As an excuse, Gwynn claimed he erroneously double-counted

TIG subsidiaries. This excuse -- offered by a purportedly seasoned, careful, and unbiased professional analyst initiating coverage with estimates he knew were beyond the pale of reasonableness -- is simply not credible . Instead, such egregious inaccuracies in this context can only reasonably be construed as the product of an intentional attempt to cause a massive stock price drop.

2. The Lone-Term Fairfax Projec t

97. Although Enterprise members had covered substantial portions of their shorted shares, they had also retained substantial short positions and added to them as the stock rebounded, understanding that Gwynn's January attack was just the beginning of an open-ended campaign directed at the far more ambitious and lucrative objective of causing Fairfax to fail .

a. Gwynn's February 11 . 2003 Report

98 . Accordingly, on February 11, 2003, Gwynn issued another highly critical repor t despite Fairfax's reported record fiscal year . Among other materially false, misleading and unfounded assertions contained in the report, Gwynn claimed that Fairfax (a) had been unable to refinance debt obligations'when in fact it had merely elected to redeem those obligations because doing so was economically better; (b) failed to strengthen asbestos and environmental reserves in

2002 as did the industry when in fact is had strengthened them by $133 million ; (b) failed to

31 secure the reinsurance needed for the release of $300 million in TIG assets held in trust, implying that this was not achievable when in fact it was and would be achieved by quarter end ; and (c) had suffered a $17 .69 million annual loss instead of a record gain based on readjustments

Gwynn applied to Fairfax's reported financials for the sole purpose of diminishing its strong performance.

99. Enterprise members used Gwynn's unreasonably negative and materiall y misleading analysis to pressure shareholders, analysts, and rating agencies into selling their

shares or downgrading their ratings . In February, despite Fairfax' s record year, Standard &

Poor' s reduced Fairfax's credit rating to BB from BB+ and the credit rating of its TIG subsidiary

from BB to BB-. Fairfax Stock experienced another substantial decline in heavy trading action

over the course of the next two weeks to arrive at a new low by February 27, 2003 .

b. Gwynn's March 10, 2003 Report

100 . Fairfax's stock price recovered leading up to the release of its annual report on

March 10, 2003 . As always, the 130-page single-spaced report provided enormous detail on the

company's material business issues and confirmed the company's record fiscal year in 2002 and

its sufficient cash and available credit to meet obligations, even without the receipt of th e

dividends Gwynn had previously incorrectly speculated would not be available to Fairfax .

101 . Nevertheless, Gwynn immediately issued a report containing additional materially

false, misleading, and recklessly unfounded statements designed to stoke the uncertainty over

Fairfax's liquidity that the Enterprise had already manufactured . In addition to repeating and

affirming his prior misleading and unfounded assertions, G«-)mm's March 10, 2003 report made,

among others, the following false, misleading and unfounded assertions designed to maintain and

aggravate the unfounded liquidity concerns he and the Enterprise had manufactured :

32 Fairfax had significantly under-reserved for asbestos and environmental liability when in fact no estimate using reasonable assumptions and a credible methodology would have supported his assertions, which Gwynn understood and ignored. In addition, the potential A&E exposure to which Gwynn referred was also covered by reinsurance, thereby further demonstrating the speciousness of Gwynn concerns . ® Fairfax's ability to collect its reinsurance cover from Swiss Re was actually not backed by Swiss Re but by a "non-recourse" subsidiary of Swiss Re, thereby implying the reinsurance was not backed by a credit-worthy underwriter when in fact this reinsurance was backed by European Reinsurance Co. of Zurich, a special-purposes vehicle'of Swiss Re that had an A+ credit rating and Fairfax had funds held collateral . o Fairfax was not sufficiently liquid to survive 2003 when in fact by any reasonable analysis it had sufficient existing liquidity and ready access to more than enough liquidity to meet all its existing and reasonably contemplated obligations in 2003 .

c. Gwvnn's April 3, 2003 Report

102. As Fairfax's stock price began to recover from the negative impact of his March

10, 2003 report, Gwynn continued his dogged defense of the Enterprise's scheme by issuin g another report on April 3, 2003 repeating and reaffirming his previously false , misleading, and unfounded assertions and adding the following:

• Fairfax should write-off as worthless Cdn$293 million in subsidiary Lindsey Morden goodwill even though he lacked any reasonable facts or rationale for this assertion . ® Fairfax subsidiary ORC was late in filing its 2002 financial statements even though this was not true and. even if it were, it would be immaterial to the investment value of Fairfax.

d. Gwynn's Unfounded Scaremongerina Is Exposed

103 . Gwynn's unfounded alarms concerning Fairfax's liquidity were exposed o n

April 11, 2003 when Fairfax announced it would conduct an initial public offering of its

fin 3 .3 Northbridge subsidiary, which was successfully p riced on May 21, 2003, and thereafter completed.

104. Similarly, on May 2, 2003 Fairfax announced first quarter results that included a net increase in earnings to $154 .6 million, an 18 .6% increase in net premiums written ($1 .6 billion), a combined ratio of 98 .1°/x, and realized gains on investments totaling $228 .2 million for the first quarter of 2003 . By May 21, 2003, Fairfax stock had rebounded from a low earlier in the year of $47 to $87 .

105. Thereafter, Gwynn's unfounded liquidity concerns and other scaremongerin g were further discredited on May 30, 2003 when Fairfax announced a $300 million debt offerin g by Crum & Forster . That offering closed on June 5, 2003, by which time the stock ha d rebounded to $152 and-would continue to climb to $174 by July 14, 2003 .

e. Gwynn's Dogged Defense of the Enterprise's Short Position

106. Over the remainder of 2003 and 2004, Fairfax repeatedly and in increasingly strong terms demonstrated that the Enterprise's grossly exaggerated warnings and disinformation about Fairfax's purportedly dire financial condition were unfounded . As a result, during this period Fairfax stock remained consistently above $100 and climbed steadily to almost $170 by the end of 2004. Throughout this period, however, short interest remained above 1 .5 million

shares and climbed steadily in the latter half of 2004 to almost 2 .7 million shares.

107. The enormous and sustained short interest that existed in Fairfax stock since i t

listed on the NYSE has been comprised of initial Enterprise members who retained, traded in and

out of, and, in some instances, increased their short positions in the long-term objective of

devastating Fairfax's business and thereby its stock price . In addition, Enterprise members were

encouraged to remain in the scheme because the high price of Fairfax stock, the enormousl y

34 large short position, and the unavailability of shares to purchase made it very difficult to cove r without enormous losses .

108. For his part, having committed to support the short-selling interest of his majo r hedge fund clients, and with those major clients carrying enormous exposure in an extremely difficult short position to exit, Gwynn was left with no choice but to continue to act as a negative siren on Fairfax no matter how badly events discredited his prior predictions or current events and facts contradicted his relentless drumbeat of false, misleading, and recklessly unfounde d reports.

109. For example, as Fairfax stock was rebounding from $50 to $96 in the spring o f

2003, Gwynn issued a report on May 6,. 2003 that repeated and reaffirmed his previou s misleading and unfounded analysis concerning Fairfax and added the following equall y misleading , unfounded, and distorted assertions:

o Fairfax's Northbridge IPO filings failed to disclose its reserving details or asbestos reserves, when in fact Fairfax had always reported the Canadian reserve development tables in the annual report, the reserve development over the last decade had been favorable, and there was no disclosure of asbestos reserves by subsidiaries because they did not have any significant asbestds reserves. • Fairfax's business strategy of acquiring troubled property and casualty companies was flawed and its prospects weak because of this flawed model when in fact Fairfax had not made a significant acquisition in more than four years and had built an excellent platform for growth by any reasonable measure as evidenced by the first quarter results . • Gwynn raised unfounded concerns about the ability of Fairfax's Northbridge subsidiary to sustain the level of dividend and interest income achieved in the first quarter without any reasonable basis or honest belief. • Gwynn intentionally ignored the various elements of the first quarter results that plainly contradicted and warranted revision to . his prior extreme predictions of doom . Gwynn would issue increasingly negative and misleading reports throughout this period o f improving financial performance and stock price with a frenzied publication rate far in excess o f

35 any other company he covered, including reports issued on May 21, 2003, August, 20, 2003,

October 10, 2003, November 26, 2003, February 8. 2005, February 26, 2004, March 12, 2004,

August 9, 2004, August 11, 2004, August 20, 2004, August 27, 2004, September 8, 2004,

October 5, 2004, October 29, 2004, November 1, 2004, November 3, 2004, and November 24 ,

2004.

110. Although Gwynn's relentlessly negative series of reports on Fairfax did not provide the Enterprise with the opportunity to cover at anything other than a substantial loss during 2004, it did nevertheless manage to artificially and dramatically suppress the price of

Fairfax stock, which throughout this period traded at a substantial discount to book value as opposed to its peers.

D. The Enterprise's Early 2004 Efforts to Limit Their Ris k

111 . By the beginning of January 2005, short interest in Fairfax had increased t o almost 3 million shares. Moreover, Fairfax was listed on the SEC's Reg. SHO list from it s inception in January 2005 and every day thereafter until a brief hiatus in July 2005 .

112. In February 2005, however, Fairfax announced results for the 2004 fiscal year that further confirmed its financial stabilization and turnaround and continued to erode enormously the doomsday scenario upon which the long-term "Fairfax Project" was based . Following quarters that year likewise showed financial strength . The mounting evidence of Fairfax's stabilization and turnaround placed short-selling Enterprise members under immense pressure :

Fairfax's strengthening position made it increasingly less likely that it would experience a fatal or near fatal collapse ; the Enterprise's fear mongering would become less and less effective ; the stock price would go up, and the already extreme difficulty in attempting to cover the huge outstanding short position would become near impossible .

36 113 . However, given the price levels and lack of share supply, Enterprise members ha d no viable and attractive exit strategies . Accordingly, the Enterprise redoubled its efforts to destroy Fairfax's reputation and thereby its ability to operate effectively and thereby generate a sufficiently low stock price and high supply to profitably cover .

1. Gwynn's Continued Support

114 . As always, Gwynn continued his relentless litany of negative reports in support o f his clients' enormous short positions, rebroadcasting the Enterprise's standard criticisms, inventing others, and consistently attempting to neutralize the increasing positive news out of

Fairfax. Thus, for example, in response to the 2004 year end results released in February 2005,

Gwynn issued a highly negative report stating among other materially inaccurate and unfounded assertions that Fairfax's hurricane losses grew approximately $67 million in the fourth quarter on an after tax basis when in fact losses had increased only approximately $21 million after tax .

Going forward, Gwynn would issue three times more reports on Fairfax from 2005 to 2006 -- all overwhelming negative -- than his average and more than double his next most frequently

covered company.

2. The Lawless Contributio n

115. In addition, the Enterprise also used Fitch rating agency analyst Lawless t o

broadcast their concerns which he did in a highly critical March 2, 2005 report that was

materially false, misleading, and recklessly unfounded in numerous respects including, amon g

others, the following :

The report asserted that underwriting at the core operating facilities was weak, when by any reasonable measure the underwriting was strong as evidenced by combined ratios for these core operations of 97 .6%, 97.5%, and 107 .6% in 2003, 2004, and 2005 respectively compared to combined ratios in the same years of 100 .6%, 106 .7%, 138 .5% in the overall reinsurance industry and of 101 .9%, 100 .2%, and 102 .5% in the overall commercial lines industry .

37 o The report asserted that Fairfax's various successful efforts to provide liquidity in the prior fiscal year by raising money would leave it without that ability in the current fiscal year when-in fact by any reasonable measure Fairfax retained sufficient financial liquidity . and flexibility. • The report criticized the sufficiency of Fairfax's disclosures concerning related party transactions, when Fairfax's public disclosures included separate financial statements and 10-K's for not only the Fairfax holding company but also its Northbridge, C&F, and Odyssey Re subsidiaries each of whic h included unusually lengthy and detailed disclosures of all material transactions including related party transactions. • The report asserted that Fairfax's investment gains for the prior fiscal year were inconsistent sources of income, when in fact Fairfax had realized investment gains of $275 in 2004 and had a twenty year average total return of 9 .3%. • The report accused Fairfax of establishing ORC Re Limited in 1998 for the express purpose of facilitating finite reinsurance covers, when in fact, as previously and fully disclosed, it was established to serve as the entity through which Fairfax would provide financing for its US acquisitions, would consolidate its European run off portfolios, and would provide protection for the US subsidiaries upon acquisition (ORC Re did subsequently provide finite reinsurance covers for the benefit of Fairfax group operating companies) . • The report accused Fairfax of using inter-company reinsurance transactions with nSpire Re to inflate dividends to Fairfax by over $500 million, when in fact the reinsurance transactions accounted for none of the dividend to Fairfax . Indeed, those reinsurance transactions resulted in losses to nSpire Re and provided no dividend capacity. Instead, the $500 million dividend was generated by interest nSpire earned on its financing of US acquisitions . • The report criticized Fairfax for focusing on acquisitions and investments instead of operating the underlying underwriting businesses, when in fact Fairfax's approach to decentralized management of the various operating entities and centralizing investing and strategic planning had resulted in operating company premiums more than doubling in the hard market years of 2002-2004 inclusive while Fairfax produced enormous investment gains . • The report asserted that Fairfax was more vulnerable to . commercial lines price softening and a shifting to higher rated insurers, when in fact Fairfax's core insurance underwriting performance was outstanding and sustained by any reasonable measure, including in areas impacted by hurricanes . • The report asserted that Fairfax's cost of float was in excess of 15% which reflected cumulative underwriting losses of $4 .5 billion, when in fact this calculation improperly included in the cost of float calculation expenses incurred by subsidiary Lindsey Morden that had nothing to do with float cost . Moreover, even if those expenses were properly included in a float cost s

38 calculation then the report improperly and inexplicably excluded the associated fees earned . • The report asserted that the company's aggressive debt restructuring and $300 million equity placement reflected a lack of confidence in the operating companies, when in fact Fairfax had always maintained significant cash at the holding company and disclosed for decades this paramount policy. Moreover, as was disclosed, Fairfax raised the $300 million for potential use in its European run-off and not in any way because of its operating companies . • The report asserted that Fairfax had not disclosed material information relate d to its Swiss Re contract and certain ceded losses in its annual report or in that of its subsidiaries, when in fact the annual report disclosed in detail precisely that information and none of subsidiaries were involved in those aspects of the Swiss Re contract. • The report asserted that Fairfax inadequately disclosed-credit facilities in FFH Gibraltar and FFHL (Luxembourg) when in fact there were no such facilities .

116. The Fitch analyst Lawless produced was not only materially false, misleading, and recklessly unfounded in its affirmative criticisms, it inexplicably omitted from its analysis numerous highly material positive facts that could only have been ignored if the objective was to present a highly skewed negative analysis. For example, Lawless ignored Fairfax's (a) improved cash flow and liquidity after reducing its debt maturities over the following five years, (b) reduced funding of future premiums on existing finite reinsurance contracts, (c) reduced risk of further reserve development, and (d) demonstrated ability to access subsidiary cash in arms- length transactions .

117. Indeed, later Fitch reports prepared after Lawless departed noted the materiality o f these positive facts . Relying on these facts, those reports describe Fairfax's demonstrated financial flexibility as a key company strength, and expressed confidence that Fairfax retained

such flexibility going forward . Similarly, those reports acknowledged that Fairfax was

generating strong operating earnings with combined ratios below 100% . In addition, the reports praised Fairfax's 2004 debt restructuring as a substantial improvement . Finally, the reports

39 acknowledged that Fairfax had turned the corner with a management commitment to underwriting discipline.

118. In addition to this formal report, Lawless would, going forward, actively participate in the efforts to talk down Fairfax to securities analysts ; journalists, and other important constituencies .

3. The Enterprise Seeks to Limit Its Risk

119. As a result of the further evidence of Fairfax's stabilization and turnaround, an d the difficulty the Enterprise was having in the face of that strengthening, Enterprise members began taking steps to minimize their increasing exposure . Enterprise members with the largest exposure began covering portions of their positions to the extent they could, entering into hedging transactions, and shifting portions of their positions to other less exposed existing

Enterprise members or new Enterprise members they recruited for these purposes . The impact of these efforts appeared plainly in the trading behavior . On April 29, 2005, the stock price was

$130, there were approximately 2.75 million shares sold short, and Fairfax had been on the Reg

SHO threshold list everyday since its inception . On July 12, 2005, the stock price was $172, shares sold short declined to approximately 2 .2 million . shares, and Fairfax was removed fro m the Reg SHO list for the first time . By August 4, 2005, the stock price farther increased to $179 while the shares sold short interest declined to just above 2 million shares.

120. During this covering period, Gwynn frantically issued four highly critical reports for the purpose of suppressing the substantial price increase resulting from Fairfax's improving

condition and the short-selling "squeeze." For example, on May 2, 2005, Gwynn issued a report

claiming, among other false and misleading things, that Fairfax had enormous reserve

deficiencies, unfunded APH, excessive reinsurance recoverable leverage, and excessive finite

40 reinsurance. In addition, Gwynn claimed that Fairfax's combined ratio for the quarter was almost 115%, which was a figure that was demonstrably untrue under any accepted and faithfully applied combined ratio calculation methodology . Indeed, to arrive at this figure

Gwynn, among other things, included in his calculation certain subsidiary expenses that were not relevant to the combined ratio and even then excluded fees earned associated with those expenses.

121 . In addition, to further the Enterprise's objective of manufacturing fear about, an d actually instigating regulatory and other legal action against, Fairfax, Gwynn commented on

Fairfax's recent receipt of an SEC subpoena concerning finite reinsurance with the wild

speculation, "I would expect more subpoenas to come," and rationalized this unfounded

statement based on the further recklessly false and misleading assertion that Fairfax was

involved in "the egregious use of finite reinsurance ."

122. In a July 13, 2005 report, Gwynn added to his previous recklessly false and

unfounded assertions, the equally false and unfounded assertion that subsidiary Odyssey Re was

grossly under-reserved for the periods 1997-2001 based on a generalized industry comparison

that did not take into account far more predictive data. Gwynn adopted the least rigorous and

informative methodology because he understood it provided the -most negative -- and most

distorted -- picture of Fairfax . Further evidencing Gwynn's agenda, he also omitted to mention

that during the same period, Odyssey Re was one of the few insurers not to increase its exposure,

which would have constituted a substantial mitigating factor to the results of his bogus analysis .

On August 6, 2005, Gwynn warned "If you are a shareholder of Fairfax, your first question

would probably be: Have the true economics of the business been clouded by accounting

gimmicks, including finite? There's no doubt in my mind, that Fairfax has done exactly that."

41 E. The Renewed Fall 2006 Attac k

1. The SEC Subpoena s

123 . On the morning of September 6, 2005, Bernstein called one of Fairfax's officers seeking comment on the SEC's subpoena to Fairfax concerning finite reinsurance . At the time,

Fairfax had received no such subpoena, and Bernstein was so informed. The next day, however,

Bernstein's question proved remarkably prescient when Fairfax received an SEC subpoena .

Moreover, the short position in Fairfax increased substantially in the lead up to the announced

SEC subpoena. On September 15, 2005 Fairfax returned to the Reg SHO list, where it has remained every day since .

2. The Bogus October Reports

124. On October 7, 2005, the Enterprise through Contogouris, disguised as M14

Reconnaissance, issued an "FFH Morning Note" to Fairfax shareholders, analysts, rating agencies, and others . The report failed to disclose that it had been prepared and was being disseminated by Contogouris on behalf of a group of short-selling hedge funds for compensatio n in direct violation of Section 17(b) of the Securities Act of 1933 . The report repeated various materially false, misleading, and recklessly unfounded assertions the Enterprise was disseminating about Fairfax including the following:

o "the company's financial position was weak" • its reported financial numbers were false and inconsistent with its "real" financials a Fairfax's announced $300 million offering demonstrates it has "`a brazen commitment to self-dealing'" • "MATERIAL INFORMATION ABOUT THE GROUP'S FINANCES WAS WITHHELD FROM THE `STREET' AHEAD Of THIS OFFERING " ® Watsa is the only Fairfax board membe r ® Fairfax's $300 million offering was like the drawing down on revolvers that occurred as part of the Enron fraud

42 • Fairfax raised capital because all its other assets were already pledged or double pledged for loans that were borrowed and moved through off-shore, off-balance sheet vehicles • Fairfax conducted a private $300 million offering in order to conceal material nonpublic information about the true nature of its pledged assets and .'selected" the recipients of the offering based on their likelihood to accept Fairfax's material non-disclosures or because they were selectively informed and thereby were "trading on inside information" because they had "some quid pro quo in hand." ® Major shareholder Southeastern Asset's chief was not a smart investor but "too stubborn to consider objective analysis" as evidence by the fact he "rode Fleming Waste Management in the ground", and "FFH will be yet another example of this ."

3. The Stocklemon.com Report

125. The Enterprise followed up these developments with a report by the internet website Stocklemon.com, which is a regular mouthpiece for short sellers. On October 21, 2005,

Stocklemom .com issued a report entitled "Where There's Smoke There's Fire . . . Could Fairfax

Financial Be the Next Refco?????" . Echoing exactly the Enterprise's standard script, the report

stated "Stocklemon believes that the current circumstances regarding investigations and claims

might be the final blows to Fairfax Financial", referenced the October 10, 2005 Wall Street

Journal article in asserting that "[i]nstead of acting professionally and describing the details of

the investigation, Fairfax was quick to put out a PR stating only that they did not receive a

subpoena from the U .S . Attorney", and claimed that the "lunacy of these statements was best

expressed on this White Collar Crime Blog ."

126. In fact, however, the cited blog said nothing remotely similar to

Stocklemon.com's characterization. Instead, it noted that the Wall Street Journal story alone

dropped Fairfax stock over 8% and questioned "How is it that companies find out from the

media when they are being investigated as opposed to from the government? And will the medi a

43 prove correct here?" Likewise, the specific blog section hyper-linked in the Stocklemon.com questioned :

Are they a target of an investigation? Are they a subject of an. investigation? Or are they just a witness? What exactly was Fairfax told? And if they are being investigated, should the government be issuing a target letter? Is Fairfax trying to hide information from its investors, or is this a situation that the government is not being up front with the company? Or is this a situation that the government is trying to pressure the company to provide information and individuals for their investigation? The government has the ability to place enormous pressures on companies during an investigation . On the other side, the release of information of a pending investigation can be detrimental to a company. Is there a better way of doing things here?

(emphasis added).

127. Stocklemon.com also rebroadcast the Enterprise's various unfounded assertions that Fairfax was dangerously illiquid and concealing this fact through fraudulent stock offerings

and offshore dealings . In this regard, Stocklemon .corn tellingly linked a document the Enterprise

had previously prepared concerning purported "similarities" between Fairfax and the fraudulent

failed Australian insurance company HIH.

128. Stocklemon.com likewise rebroadcast the Enterprise's standard attack on Watsa

personally. The report asserted falsely that while Warren Buffet "has a successful track record

based on high profile investments that have paid out in the long term, Mr. Watsa has kept most

of his investments hidden from his shareholders ." It cited two press articles as support for this

proposition, although neither article actually provided such support. It then compared

Mr. Watsa's practices to those "of Enron and Refco ." As examples of such Enron-like behavior,

44 the Stocklemon.com report regurgitates the Enterprise's recklessly false and unfounde d accusation that Fairfax's Luxembourg subsidiary was being used as a vehicle for fraud .

129 . Stocklemon.com also rebroadcast the Enterprise's recklessly false and unfounde d assertions "that Price Waterhouse has not exercised any professional skepticism in the auditing of Fairfax Financial and therefore is negligent in fulfilling SAS no. 99 requiring professional skepticism." The report concludes with a summary of the Enterprise's fear-mongering mantra --

130. "Where there is smoke; there is fire" and further comparisons to Enron and

Refco's conduct.

4. The Stepped-Up Harassment and Pressure of Fairfax Executives and Professionals

131 . At the same time the Enterprise began an aggressive campaign of harassment of

Fairfax executives and personnel intended to erode their confidence in Fairfax, intimidate them into providing material non-public information for the Enterprise's trading purposes, an d instigate internal e-mail . phone, other insider communications that the Enterprise hoped to gain access to in various ways . By way of example only, the Enterprise engaged in the following assaults on Fairfax insiders :

(i) On November 9, 2005 a package was delivered by courier to the Mr . Watsa's pastor at St. Paul's Anglican Church in Toronto . The package purported to be from a "P.Fate" with the return address and phone number of Saint Patrick's Roman Catholic Cathedral in New Yor k

City. The package contained a letter addressed to Reverend Parker stating:

Dear Father, The attached documents are being sent to you out of my concern for the Church's finances . I am extremely sensitive to this as a result of losing a dear friend Father Richard Bourgeois, an enlightened Benedictine Priest formally of the Collegio D'Anselmo, which as you .may know is the Cardinal College of the Vatican : On September 4, 1999 the fugitive Marty Frankel, who perpetrated a massive fraud on the Catholic Church, was arrested at the Hotel Prem in Germany. Interestingly a review of your most recent "Talk in the Pews" shows Mr. Watsa as the Chairman of the investment

45 committee of the church . More interestingly are the similarities in the facial features between Mr . Marty Frankel and Mr . Preen Watsa. While these coincidences are surprising; they do not compare to the similarities between the massive money-laundering schemes perpetuated by Marty Frankel and the massively convoluted paper shuffle created by Mr. Watsa through his public vehicle Fairfax Financial Holdings Ltd. . . . the pattern of activities of Mr. Preen are too similar to the course .of conduct of Marty Frankel to be overlooked by a person such as yourself, who is responsible ultimately for the funds of the congregation . Be aware Father, be skeptical and ask Mr . Watsa to make confession. God Bless . P.Fate. Attached to the letter was a 30-page document entitled "Marty Frankel : Sex, Greed, and $200 million fraud" which detailed Mr. Frankel's enormous insurance fraud and money laundering schemes, his fraud on and exploitation of the Catholic Church, the indictment of an elderly

Catholic priest, and sordid details of Frankel's sadomasochistic and group sex and other sensational activities .

(ii) The same day these same documents delivered to Reverend Parker were e-mailed to Mr. Watsa at his office. These materials left with Rev. Parker and e-mailed to Mr. Watsa were prepared by Bernstein at Exis's New York office, and sent from those offices in order to undermine Mr. Watsa's reputation for integrity and honesty, generating suspicions about his activities, facilitating the Enterprise's efforts to intimidate insiders -- including Watsa's assist ant and others who may see this e-mail -- into providing the Enterprise with mate rial non-public information to use in their trading, distracting Watsa and other high level personnel whose focus was critical to Fairfax's success, and instigating negative press stories comparing Watsa to

Frankel in the event he vacated his post as financial advisor for his church.

(iii) For the same purposes , on November 10, 2005, Contogouris using an alias

"Monty Gardener" e-mailed Watsa stating "EX_REFCO CEO BENNETT CHARGED WITH

SECURITIES FRAUD, OTHER CHARGES IN 8-COUNT INDICTMENT ."

46 (iv) On November 15, 2005, Bernstein called Watsa' s executive assistant asking that she call him to discuss Prem and Fairfax . When she did not return that call, Contogouris sent another e-mail from his alias "Monty Gardener" again stating "EX REFCO CEO BENNETT

CHARGED WITH SECURITIES FRAUD, OTHERS CHARGED IN 8-COUN T

INDICTMENT."

(v) On December 12, 2005 two Enterprise members appeared at Watsa's home and attempted to question his family about the whereabouts of Watsa and his wife in a threatenin g manner.

(vi) On December 14, 2005, an Enterprise member entered Fairfax's offices, dropped off a packageC) for Watsa, and began conspicuously photographingt) the reception area extensively .

The package contained 2 copies of the 2004 nSpire Re Financial Statements and FFHL

(Luxembourg) S .a.r.l. audited financial statements for the period December 31, 2003 and the financial statements of the company as of March 12, 2003 . The Luxembourg documents contained a government stamp certifying they were true copies of the originals . This stamp was

dated November 14, 2004 and although the document post-dated the Stocklemon .com's

October 21, 2005 report this exact document was added to that website at or about the time it was left for Watsa.

(vii) On December 14, 2005, the wife of a former Fairfax CFO observed a n

unidentified man approaching her house from a taxi, but by the time she arrived at the door h e

had disappeared into the taxi leaving the same documents that had been left for Watsa that day

on the doorstep with no envelope.

(viii) On December 16, 2005, Bernstein sent an e-mail from a Hotmail account t o

Fairfax's analysts, rating agencies , shareholders, and select sympathetic journalists . The e-mail

47 attached a document entitled "Trevor's Travels : The Kingsmead Fraud -- Another Enron-Like, off-balance sheet deception ." The document described in a materially false, misleading and recklessly uninformed manner transactions -- described as the "Kingsmead" transactions -- involving assets Fairfax acquired in its 1999 acquisition of TIG . In addition to materially mischaracterizing the nature of these assets and transactions, the document made, among others, the following false and defamatory statements :

o The Kingsmead transactions were a "Fraud", an "Enron style described fraud", "another Enron-like, off-balance sheet deception", "an international fraud perpetrated on U .S. shareholders, which is similar to Enron's supporting of balance sheet vehicles managed by Andy Fastow and his wife ." ® This "fraud" was necessary "for Prem's Fairfax holding company, as it is chronically illiquid and basically insolvent" and Watsa engaged in "deceptions" that were "violations of securities laws" and "criminal" conduct so he could use the Odyssey Re subsidiary as his "piggy bank" . ® Fairfax failed to disclose liability associated with the Kingsmead assets when in fact Fairfax made numerous disclosures of this liability in its 2001 Annual Report.

Bernstein prepared and sent this document as part of his financial relationship with the hedge fund Enterprise members and did not disclose this relationship in the documents in violation of, among other things, 17(b) of the Securities Act of 1933 and Rule I Ob-5 .

(ix) On December 16, 2005, Watsa received an e-mail from a "Robert Rafelson " stating "Hey, Prem are you using the shareholder's money to fuel the corporate jet for you r family' s personal use? I hope not. Love, Rob." This e-mail was sent by Bernstein from Exis' s

New York office.

(x) On December 18, 2005, Enterprise operatives were parked outside Mr . Watsa's house and followed him when he drove away .

48 (xi) On December 19, 2005 . Watsa's executive assistant received two e-mails directly from "Dick Tracy" attaching a document that was addressed to her at "`Fairfax

Financial' or Whatever It Is Today" and threatened her with the consequences of being involved in criminal behavior:

The attached documents are being sent to you out of concern for your unwitting participation in possibly very serious federal crimes committed by Mr . Prem Watsa. On September 4, 1999, the fugitive Marty Frankel, who had perpetrated a massive fraud on many people close to him, including the Catholic Church, was arrested at the Hotel Prem in Germany. First look appears to have a clear connection to Mr. Watsa, if only by name . Interestingly, a closer look at a picture of Mr . Prem Watsa's facial features, photo comparison attached herein, shows some disturbingly haunting similarities between Prem and Marty. No doubt you are aware that Prem wears Passes of similar shape and size that rest askew on the bridge of his nose like Marty's . . . . 'While these coincidences are surprising, they do not compare to the similarities between the massive money-laundering schemes perpetrated by Marty and the massively convoluted paper shuffle created by Prem through his public vehicle Fairfax Financial Holdings Ltd. One has to ask how this unbelievably meteoric rise of this roll up of garbage insurance companies could happen without Prem's close team working together to create and maintain a course of conduct that is in fact, a premeditated and sustained deception of investors . Although one could say. over the last year, many close associates of Mr. Watsa have been sufficiently worried about his behavior and seem to be dropping off the Fairfax map at a rate that only an insurmountable contradiction [sic] of the Ebola virus singling out Prem's people could explain otherwise. Please understand that this behavior will not stand. This pattern of deception that Prem practices is too similar to that of Marty Frankel to be overlooked . A person such as you has a lot to lose. No doubt you are aware that those that don't help Prem end up leaving after years of service with the severance afforded those that work at Burger King drive thru. Be aware Ms. [name omitted] he will be held accountable . Prem is not above the law. Halleluiah! The letter attached the same thirty-page expose on Mr . Frankel entitled "Sex, Greed and

$200 million Fraud."

The letter includes a picture of a bedraggled fugitive Frankel and not remotely similar picture of Watsa .

49 (xii) On the same day, Watsa's assistant received another e-mail from "Dick Tracey" with a re line "PERSONAL USE OF THE FAIRFAX COMPANY CORPORATE JET B Y

PREM WATSA AND FAMILY" that stated :

The attached documents are being sent to you out of concern for your unwitting participation in possibly very serious federal crimes committed by Mr . Prem. Watsa. Recent Press of Conrad Black (another Canadian of dubious reputation) suggests, based on allegations of the U.S. Government, that he did not respect third party shareholder's money for which he was not the custodian . I think that you should be particularly sensitive to issues that regard Mr. Watsa and his family's personal use of the Company's jet. Operating under the assumption that as Prem's personal secretary you make the arrangements to schedule the plane for use and in fact probably have the tail number memorized, you should note the U.S. Attorney's frowning upon Mr. Black using shareholder money to fuel the company jet for personal use is quite serious . You see Ms . [name omitted], you work for the shareholders of the Company that own the plane . All of them, and not for Mr . Watsa. And as of today it can't be confirmed for sure if Mr. Watsa is even one of them, or if he has pledged, lost or squandered any holdings he may have. Therefore, it is incumbent upon you to double check any direction Mr . Watsa or his family members give you with respect to the plane's use . U.S . Attorney Mr. Fitzpatrick may want to know. See the Conrad'Black press of November 18th below . In particular Ms . [name omitted], please keep you [sic] antenna up to spot any move Mr. Watsa in directing the jet to fly him and his family to India to escape prosecution. You would likely have knowledge of such an event and could be held responsible as a co-conspirator in arranging Mr . Watsa's fleeing of the country. Fly Straight Ms . [name omitted] ! The e-mail attached documents regarding Marty Frankel 's use of the corporate jet and was prepared and sent by Bernstein at Exis who attempted to cleanse the e-mail and attachment of all electronic identifying information because he understood his conduct to be improper .

(xiii) When Watsa's assistant did not respond to the various e-mails she had received , on December 21, 2005 Bernstein resent the two "Dick Tracey" e-mails with the same message and attachments . On December 29 and 30, 2005, after receiving no response from Watsa' s assistant, Bernstein re-seni the same two e-mails and attachments to her again.

(xiv) On December 28, 2005 , Bernstein sent a document to Fairfax's shareholders, analysts, rating agencies, and sympathetic members of the media that made materially false ,

50 misleading, and recklessly unfounded assertions concerning an inter-company share transfer of

Odyssey Re stock. The document cites and echoes the recent Reality Check article . Among other things, the document made the following materially false, misleading, and recklessly unfounded statements:

• Watsa was attempting to "prop" up Odyssey Re shares and "mov[ing] them from subsidiary to subsidiary (or related company) to keep the waters muddy" and thereby conceal an underlying money drain; • "all of ORH shares and everything FFH owns in the United States had been hocked'' • "Using the undisclosed vehicle, FFHL (Luxembourg) S .a.r.l., all the assets of the Fairfax (Gibraltar) Ltd ., by extension Fairfax Inc., and by further extension Odyssey Re and subsidiaries are pledged" • Bermuda and offshore reinsurance subsidiaries, CRC Bermuda and Wentworth, "were being used for purposes to "hide" transactions" • CRC Bermuda and Wentworth were using 5600M in losses ceded to them by Northbridge to fund European Runoff losses in a manner concealed from insurance regulators using the Luxembourg subsidiary in a "robbing from Peter to pay Paul" scheme concealed by Watsa. • That this "scam" was being used to also "perpetuate the illusion of a `transfer of risk' on third party reinsurance transactions like Swiss Re."

(xv) On December 30, 2005, Contogouris created three identical websites w7,w.premwatsa.com, ww ~.premwatsa.net, and wwwy.Premwatsa .co .uk with a homepage consisting of the image of a shredded piece of paper containing an Enron logo altered from an

"E" to an "F" with the word "Fairfax" substituted for "Enron ." On the bottom of the shredde d paper appeared the title of the best-selling book on the Enron scandal "The smartest guys in the room." In front of the shredded piece of paper was a distorted photo of Watsa and other Fairfax executives under which appeared the words "Come see where all your money went." On another page there was a picture of Watsa, the same altered symbol, and a map of Bermuda under which the words "coming soon . . ." were appended.

51 The websites were then used to disseminate misleading reports and disparaging accusations concerning Watsa, including his alleged involvement in criminal and unethica l behavior .

(xvi) Between February 14-16, 2006, Fairfax's website experienced six separate

cyber-attacks attempting to hack into the Fairfax server using the same internet service provider

as various Enterprise members . Moreover, throughout February, Enterprise members including

Bernstein and Contogouris aggressively pursued existing and former Fairfax executives in a

desperate effort to develop some information upon which to support their recklessly inaccurate

misinformation and theories .

(xvii) In early March, the Enterprise again began disseminating material misinformatio n

and baseless accusations to Fairfax's auditors, and threatening those auditors with legal action .

For example, on March 2, 2006, an e-mail from Bernstein's alias "Robert Rafael" was received

by PwC auditors stating as follows :

I understand you are looking at restatements of Fairfax Financial Holdings . Please be advised that it appears that the attached documents show that your firm knew of a MATERIAL inflation in the financial statements of FFHL (Luxembourg) S.a.r.l. one day before a crucial audit which was used to certify assets that were being pledged for a loan in 2004. To the extent that short sellers have suffered damages in the cost to borrow shares of Fairfax that have been supported by these materially false financial statements produced by your firm, you may be held liable . It is incumbent on you to reexamine the whole chain of transactions at every off-shore shell company subsidiary as it appears likely that Fairfax has inflated their assets. Please see the attached documents. The e-mail from Bernstein attached the Luxembourg filings the Enterprise had been

peddling to shareholders, analysts, rating agencies, and journalists and arranged to have posted

on the Stocklemon .com website. Bernstein sent a second e-mail to Fairfax's auditors under th e

false identity "Robert Rafelson" on March 6, 2006 .

52 (xviii) On March 9, 2006, the General Counsel of one of Fairfax's European subsidiaries informed Fairfax that she had received an eerie e-mail from a Spvroini4@aim .com stating "I am reading about you in the Lawer [sic] News and am stunned by the fact that you are posing next to the largest nose I have ever seen. Being so close to such a nose, one would think the sense of smell would rub off on you . In particular can you smell the very serious negative issues that are facing runoff for Fairfax . Issues which, you seem to have glossed over when meeting with Miss Helen Morris for your article . In fact runoff doesn't seem to be going well at all. Correct?" The e-mail concluded with the ominous "I will be seeing you soon [name omitted]."

(xix) Between March 10-16, 2006, the CFOs of Fairfax and its largest subsidiarie s received unidentified e-mails from Spyromi40aim.com; Bernstein called Watsa's assistant to inform her that they knew Mr . Watsa's out of office whereabouts and itineraries ; anonymous questions addressed to Watsa and Fairfax CFO Taylor were dropped off at their Odyssey Re subsidiary ; and audio clips from Harry Potter and a George Bush speech were left on Watsa's home telephone message machine and the office voicemail of Fairfax's CFO .

F. The Enterprise's Current Attempts to "Bring Down Fairfax "

132. Although the Enterprise's efforts were having a material adverse impact o n

Fairfax, as evidenced by, among other things, the erosion in its stock price from $153 o n

February 1, 2006 to $133 on April 3, 2006, the impact fell far short of the Enterprise' s expectations and, more importantly, far short of what the short-selling Enterprise member s needed to cover their short sale without suffering severe losses, let alone reaping the type o f profit for which they had been waiting a long time . The Enterprise members understood they required far more convincing and damning material to hope to achieve their goal of "bringin g

53 down Fairfax" so they could avoid staggering losses and make this investment profitable .

Accordingly, the Enterprise members agreed to an ever more bold and aggressive attack against

Fairfax, which they planned to successfully complete by July .

133. The Enterprise's revised plan to "bring down Fairfax" was to coordinate (a) a

drastic downward manipulation of the price of Fairfax stock through various bogus trading

activities; (b) a blitz of wildly alarming rumors of Fairfax's imminent demise ; (c) ominous

questions to major shareholders from a business reporter working with the Enterprise ; and (d) a

series of negative articles echoing and endorsing the various theories the Enterprise had

developed. The plummeting share price, wild rumors, unnerving journalist questions, and bad

publicity were intended to panic major shareholders into selling their shares and thereby causing

the stock to plummet on a volume sufficient for the Enterprise to cover as much of its short

position as it desired before a final push to destroy the company.

134. Thus, Enterprise members, including Exis, Sender, Heller, Contogouris, Bernstein

and Lawless, ratcheted up their communications with shareholders and analysts, to whom they

continued to assert that Fairfax was a fraud like Enron, Refco, and various other known

corporate frauds. They also undertook to find another business publication that would be willing

to run stories rebroadcasting the theories that had been developed but had failed to get any

publications to credibly consider and write about .

1 . The Renewed Effort to Develop Convincing Theorie s

135. Realizing that their dated and factually unfounded bag of defamatory accusations

were now insufficient, Enterprise renewed their efforts to extract non-public insider information

from which they hoped they could spin in ways damaging to Fairfax . For example, on May 31,

2006, Contogouris lied his way past security at Fairfax's RiverStone subsidiary in London,

54 saying he was a reporter conducting a survey who wanted to leave a card at RiverStone

reception. Once in, however. Contogouris handed out a card identifying himself as "Special

Situations Research Consultant" with "M14 Reconnaissance" based in New York . The address

on the card was that of his apartment in New York City and the phone number was that of Exis.

Contogouris falsely informed these executives that Watsa had sold Fairfax's interest in

RiverStone and that their company was no longer a subsidiary of Fairfax in an effort to coerce them to talk. When pressed to back up this statement, Contogouris made a call to his New

Orleans attorney and to Lawless (who had since left CFRA to work exclusively for the

Enterprise). Nevertheless, Contogouris returned unable to substantiate his false statements and

abruptly left.

136. The next day, June 1, 2006, Contogouris hand-delivered an unmarked manil a

folder addressed to Fairfax's former CFO Trevor Ambridge (who in fact remained an officer of

Fairfax) at the offices of his new employer, Fairfax subsidiary Advent . The envelope contained

a letter on "M14 Reconnaissance" letterhead attempting to induce Mr . Ambridge into providing material non-public information to Contogouris by threat and promise. The letter states in part:

I will try to make this the most respectful letter I can under the circumstances . No doubt you are aware that these are very critical times for your former employer Fairfax Financial Holdings, Ltd . So I want this to be "fair and friendly" . . . . In this spirit, I am available to meet with you in London at your earliest convenience. I would like to lay out a series of maps, flow charts and related exhibits which I have put together that I feel are missing some critical piece s

137 . To secure Ambridge's help, Contogouris would offer the explicit and veiled threat that failure to cooperate would result in Ambridge's criminal prosecution :

Take just a minute, sit back and try to view what the world will look like for Fairfax and its former officers three years from now given the current level of regulatory scrutiny . Look to the lessons of Enron and most recently of Escala Group (NASDAQ :ESL; I have attached the information at the end of this letter for your reference) . . . . I can help by introducing you to a former high-ranking investigator for the U.S. Government wh o

55 could act as a confidential liaison with current regulators on your behalf to set the record straight and get to the bottom of this . . . . I indulge your attention to a recent witness in the Enron trial testifying that a certain research report led a high ranking executive to say aloud, "they're onto us!" I cannot help to speculate that a similar thought process may have played some part in your decision to move to London. . . . Please help me fill in the blanks. . . . I can be in London at your convenience over the next several weeks with all of my materials . . . . I will arrive with the aforementioned former Government person who can speak to you with the highest degree of confidentiality .' 3 The letter was signed "Spyro" and indicated in a post-script that he could be reached at

"spyromi4@aim .com."

138. At the direction of Fairfax's counsel and security/investigative personnel,

Ambridge responded two weeks later indicating he would be willing to discuss the proposal provided Contogouris committed to not contacting him at work because it could jeopardize his new job. Contogouris agreed to only communicate with Ambridge through his personal e-mail .

In addition, Contogouris again made clear that, by cooperating with Contogouris, Ambridge might be able to avoid a criminal prosecution : "We should meet privately and discuss. I cannot guarantee you immunity. However, I can say with some level of confidence that I can introduce you to certain relationships that I have for you to talk to that I can guarantee attorney client privilege confidentiality and that would negotiate a `queen for a day' (what you say won't be held against you) with the Department of Justice."

139. Contogouris played up the danger and Ambridge's exposure if he did not cooperate in a follow-up e-mail indicating that he intended to :

bring a Former Special Agent of the Secret Service and FBI . . . uniquely qualified to communicate to you a depiction of how the government works, as well as, give you a clear perception of the magnitude of the investigation and how your association with Watsa may have made you culpable . Furthermore, he can explain to you how different intelligence entities are involved in this case and explain the vulnerability of current an d

The document to which Conto a,ouris refers is MI4 report on Escala that Contogouris was paid to distribute just as he was the reports he issues on Fairfax and the report likewise nowhere disclosed the financial relationship between Contogouris and the short-selling hedge funds he was promoting by distributing the report in violation of Section 17(b) of the Securities Act of 1933 .

56 former officers and directors of Fairfax . In addition, he could explain how your cooperation could possibly lead to immunity from prosecution by putting you in touch with appropriate authorities. Believe me when I tell you it is my best interest to try to insulate you from prosecution. His experience has been that the person who is first to cooperate usually gets the best deal and gets it put behind him or her.

140. Contogouris then sent Ambridge an e-mail from "Martin Gardener" to which h e requested all future communications be directed . When asked why, he explained the alias was a means whereby he might be able to frustrate subpoenas served on him and avoid having to give truthful testimony concerning his activities : "I do not stay in hotels under any Christian name when meeting insiders at companies . You can use your imagination why. Clearly it leaves my options open in telling my story in the event I am ever subpoenaed . Capisce? "

141 . Contogouris also explained that "What I do for a living is provide highly valuabl e information to a small group of investment clients" and would "show you why . . . that if authorities go after Prem that certainly he will make you the fall guy . And as such you may wan t to get the jump on him and consider possible actions and defenses first as I am sure he is the architect of the deceptive dissemination of information" and "had violated U .S. Securities laws ."

Contogouris again stressed that, in exchange for information from Ambridge, Contogouris would

make his former government agent available to help insulate him from prosecution .

142. An initial meeting was scheduled but then cancelled by Contogouris because of a

claimed family crisis. When Ambridge attempted to reschedule the next meeting, Contogouris

pressed aggressively to proceed because the Enterprise by that time had elected to work with a

New York business reporter who the Enterprise had convinced to do a series of "investigative

pieces" that the Enterprise.believed would resurrect and revitalize the tired and unfounded

theories other publications had up to that time declined to write about . In order to force

Ambridge to meet in time for Contogouris to feed this information to the reporter, Contogouri s

57 threatened him by accusing him of being involved in a "criminal fraud'", reminding him to "just think what I could do with all your emails," calling his office directly, stating that he intended to

"consider all my options as maintaining our confidentiality," threatening that if Ambridge did not immediately cooperate he could "no longer rely on my discretion,", should expect to begin receiving e-mails directly at his office, and "will regret it later ." When Ambridge objected to such threats, Contogouris told him "you are done" unless he immediately rescheduled . When

Ambridge did not respond, Contogouris sent him an e-mail directly to his office from M14

Reconnaissance that revealed the e-mail name Ambridge had used in their private exchanges with the message "RUIN RABBIT Run . . . Check your email George and get back to me."

2. The Enterprise Attempts to Orchestrate Negative Pres s

143 . Simultaneously with these events, Fairfax began receiving calls from the New

York reporter with whom members of the Enterprise were communicating regarding the "series of investigative stories" he was pursuing . That reporter began asking questions about exactly the issues -- and often using virtually exactly the same language -- that the Enterprise had been attempting to develop -information on, confronting insiders about, and unsuccessfully attempting to get stories written about. In addition, insiders who received calls from enterprise members attempting unsuccessfully to obtain material inside information were on several occasions

contacted almost immediately thereafter by this reporter .

3 . The Enterprise June Attempt to Exit

144. Consistent with its plan, the Enterprise in concert with various trading and broker

providers began to manipillate the price of Fairfax stock down in the second half of June through

a series of manipulative trading techniques . At the same time, they flooded the market with

rumors that Watsa had placed his assets in his wife's name and fled the country, Fairfa x

58 subsidiaries were missing cash, the Royal Canadian Mounted Police were about to raid Fairfax's offices, major shareholders were looking to sell their shares, Fairfax had scheduled and then cancelled an investor call about the SEC investigation, Fairfax had attempted a bond offering that failed, and Fairfax had attempted a $300 million equity offering that had failed .

145. These rumors were so intense that major shareholders, trading desks, brokerag e houses, rating agencies, and analysts all made alarmed calls to Fairfax seeking answers .

Goldman Sachs called Fairfax's bond portfolio managers throughout the day of June 23, 2006, to report that these rumors were causing the value of Fairfax's bonds to collapse. Fairfax's stock likewise plummeted to nearly $90 per share .

146 . However, the Enterprise's efforts failed to shake loose the major shareholders an d thereby provide the genuine selling pressure and liquidity to allow the Enterprise to cover its enormous short position. As a result, the Enterprise was forced to regroup for another attempt that it would hope to base on the expected series of tabloid pieces, inside information, and instigated regulatory action .

G. Damages

147. The Enterprise's scheme inflicted enormous damage on Fairfax's reputation, business, employees, and investors . The scheme's unrelenting campaign of negative misinformation devastated the market reputation of Fairfax and its affiliated operating companies, as well as the business relationships critical to its operation and strategic plans . For example, the attack on Fairfax caused its operating companies to suffer downgrades by its rating agencies, with a concomitant decrease in business . The misinformation disseminated by

Enterprise members about Fairfax's accounting and business practices devastated Fairfax's reputation among, and relationship with, the customers, agents, regulators, and business partners critical to the success of Fairfax's growth -- and survival -- as a major property and casualt y

59 insurer. Fairfax's underwriting revenues slowed and never reached the levels they would have but for the scheme's attack . The same reputational damage caused Fairfax to seek financing for its operations and growth on far more expensive terms than would have otherwise been necessary. As a direct result of the harm the Enterprise's scheme inflicted on Fairfax's underwriting efforts and ability to do business, Fairfax was forced to scale back its strategic initiatives and plans to grow and expand its business .

148. The Enterprise's misinformation campaign and other manipulative conduct als o substantially contributed to many of the regulatory investigations and class action lawsuits initiated against Fairfax and the substantial amounts of money and management attention and focus that were required to address those proceedings .

149. The increased costs and expenses, lost profits, harm to reputation, lost acquisitio n opportunities, and diminished enterprise value that the Enterprise's scheme, as carried out b y each of the defendants, directly and proximately inflicted upon plaintiffs is no less than $ 6 billion.

CAUSES OF ACTIO N

COUNT I

RACKETEERING IN VIOLATION OF N .J.S.A. 2C: 41-2(c) (AGAINST ALL DEFENDANTS)

150. Plaintiffs restate each and every allegation of paragraphs 1 through 149 as if full y set forth herein.

151 . Defendants are persons as that term is used in N.J.S .A. 2C:41-1(b).

152. Defendants-comprise an association, associations and/or are associated-in-fac t

Enterprise as those terms are defined in N.J.S.A. 2C:41-1(c). The Enterprise has: an existence beyond that which is merely necessary to commit predicate acts and, among other things ,

60 oversaw and coordinated (and continues to oversee and coordinate) the commission of numerous predicate acts on an on-going basis in furtherance of the scheme and efforts to conceal the scheme. The Enterprise was operated, managed and controlled by each of the S .A.C.

Defendants, Exis Defendants, Lone Pine Defendants, Rocker Defendants, Third Point

Defendants, Trinity Defendants, Morgan Keegan Defendants and Lawless .

153 . The conduct, acts, and omissions of the defendants set forth above were an

integral part of the overall pattern and practices described herein, including using the facilities of

United States interstate commerce to reap vast profits from their scheme to issue false and

misleading statements to the public and, thereby, cause enormous harm to the plaintiffs, their

employees and investors .

154 . The Enterprise and its scheme had and continue to have substantial ties to New

Jersey, including the planning and execution of central elements of the scheme in New Jersey

and the infliction of enormous monetary and other harm as a direct and proximate result of the

scheme in New Jersey, including but not limited to the following :

® The Enterprise's attack on C&F was directly targeted at a corporation with its principal place of business in New Jersey. Indeed, as set forth more fully above, the interference with, and injury to, this New Jersey business was an essential element of the Enterprise's scheme . • The scheme was in fact successful in significantly injuring this New Jersey business by interfering with its access to credit and financing, damaging its business reputation and critical business relationships, and causing it to surrender lucrative business it would otherwise have enjoyed . e The Enterprise's scheme also resulted in substantial losses on the part of New Jersey shareholders who had invested in the publicly-traded parent corporation of C&F, a New Jersey business . o Many additional New Jersey companies were also targeted as part of the scheme with the same associated categories of injury . 0 Critical elements of the scheme were executed in New Jersey, where several members of the Enterprise reside, do business, and conduct some or all of their Enterprise activities .

61 • Similarly, during the period covered by this complaint, the Rocker Defendants operated out of Millburn, New Jersey offices and supported the scheme out of those New Jersey offices . The S.A.C. Defendants, Exis Defendants, Lone Pine Defendants, Rocker Defendants, Third Point Defendants and Trinity Defendants participated in the Enterprise's scheme on behalf of various limited partners who reside or resided in New Jersey and who profited significantly from the Enterprise's scheme. Moreover, each of these defendants frequently had communications and coordinated with the Morgan Keegan Defendants and caused the Morgan Keegan Defendants to disseminate its reports to numerous clients, investors, journalists, and media outlets located throughout New Jersey . ® The S.A. C. Defendants, Exis Defendants, Lone Pine Defendants, Rocker Defendants, Third Point Defendants and Trinity Defendants frequently had communications and coordinated with Lawless, a New Jersey resident, and caused Lawless to disseminate reports and information to numerous clients, investors, journalists, and media outlets located throughout New Jersey .

155 . Through the conduct and the acts and omissions set forth above, the defendant s knowingly and intentionally:

(a) Committed and aided and abetted fraud in connection with the purchas e and/or sale of securities in violation of N.J.S.A. 49 :3-71 and N.J.S .A. 2C:2-6, which conduct als o violated 15 U .S.C. §§ 78j and 78ff, and 17 C .F.R. § 240.10b-5, which are incorporated a s

"racketeering activity " under the New Jersey RICO statute pursu ant to N.J.S.A. 2C:41-1 (a)(2);

(b) committed and aided and abetted the commission of deceptive busines s practices in violation of N.J.S.A. 2C:21-7 and 2C :2-6 ;

(c) committed and aided and abetted the commission of commercial bribery i n violation of N.J.S.A. 2C:21-10 and 2C:2-6;

(d) Used the mails in United States or foreign commerce to commit a fraud in violation of 18 U.S.C. § 1341, which is incorporated as "racketeering activity" under the New

Jersey RICO statute pursuant to N.J.S.A. 2C:41 -I(a)(2); and

62 (e) Used the wires in United States or foreign commerce to commit a fraud i n violation of 18 U.S.C. § 1343, which is incorporated as "racketeering activity" under the New

Jersey RICO statute pursu ant to N.J.S.A. 2C:41-1(a)(2); all of which are "predicate acts" under N.J.S.A. 2C:41-1 (a).

156. The defendants' conduct involved "at least two acts of racketeering activity . . . the last of which occurred within ten years after the commission of a prior act of racketeerin g activity" and therefore constituted a "pattern of racketeering" within the meaning ofN.J.S.A.

2C:41-1(d)(1) .

157 . As set forth above, this pattern consisted of repeated, continuous acts that had the same or similar purposes, results, participants, victims or methods of commission, and are interrelated by distinguishing characteristics rather than isolated events, within the meaning o f

N.J.S .A. 2C:41-1(d)(2) .

158 . It was the purpose of the Enterprise to create and disseminate false an d misleading reports and information concerning the businesses of each of the plaintiffs, and other companies, with the objective of harming those companies and profiting from that harm throug h the short-selling of publicly-traded securities issued by those companies, including Fairfax. This extensive market-manipulation scheme was intended to, and did, provide substantial profits t o the members of the Enterprise. The Enterprise operated by the defendants achieved thes e objectives by the conduct of racketeering activity, including :

• engaging in blatant manipulation of the market for the publicly-traded securities of Fairfax and other companies; • commissioning false and misleading reports concerning each of the plaintiffs and other companies ; • manipulating the issuance of such reports to benefit other Enterprise members and harm others to whom members of the Enterprise owed fiduciary and other duties;

63 • purchasing and/or selling securities in order to profit from the manipulated timing of the issuance of the fraudulent reports ; • charging Enterprise members and others substantial fees to receive the false and misleading information and reports that were created by Enterprise members ; a issuing analyst reports that falsely purported to be "independent" but were, in" fact, premeditated attacks on a number of companies, including Fairfax ; • fraudulently misrepresenting that Fairfax shares were overvalued due to, among others things, corporate malfeasance and aggressive accounting by the plaintiffs; • planting false and misleading information concerning the plaintiffs, and other companies with securities analysts, regulators, rating agencies, customers and investors; and • rebroadcasting and disseminating that false and misleading information to the media and the public.

159. Beginning at least as early as December 2002, and continuing until the date of this complaint, in furtherance of and for the purpose of executing and attempting to execute the described schemes and artifices to defraud, each of the defendants, on numerous occasions,. used and caused to be used wire communications in interstate and foreign commerce and the J .S. mails, by both making and causing to be made wire communications and mailings .. These wire communications and mailings were made, inter alia, for the purposes of (i) communicating with one another to effectuate the dissemination of false and misleading information necessary to perpetrate the scheme to harm the business of Fairfax and other companies and to artificially depress those companies' share prices ; (ii) disseminating false and misleading analyst reports and other statements concerning the business and stock of Fairfax and other companies ; (iii) wiring monies periodically to compensate purportedly independent analysts ; and

(iv) coordinating their manipulation of the market for Fairfax stock.

160. Each such use of a wire communication and/or mailing in connection with the described schemes and artifices to defraud constitutes a separate and distinct violation of

64 N.J.S .A. 2C:41-1(a)(2), by virtue of violating the incorporated federal predicate acts proscribed by 18 U.S.C. §§ 1341 and/or 1343 . The defendants used the wires and. mails to perpetrate their fraudulent scheme and to disseminate the fraudulent reports attacking Fairfax and othe r companies . While plaintiffs do not have full knowledge of the extent of the use of the wires an d mails by the Enterprise in furtherance of the scheme, the following charts show some, but not all of those violations .

161 . The Morgan Keenan Defendants disseminated each of the approximately 64

Reports and other Fairfax related updates as set fo rth in Table A, by electronic mail and U .S. mail to their clients and other Enterp rise members. The Morgan Keegan Defendants distributed each of these reports to numerous clients and no fewer than the 25 Enterprise members set forth in Table B . The distribution of these reports therefore constitutes more than 1600 separat e fraudulent communications:

TABLE A MORGAN KEEGAN REPORTS DISTRIBUTE D Company Re ort/Bulletin Date 1 . Report Initiating FFH Coverage 1/16/03 2. FFH Equity Research Note : Initiating Coverage I 1/17/03 3. FFH Equity Research Note : Company Update 1130/03 4. FFH Equity Research Note: Company Update 2/3/03 5. FFH Equity Research Note : Analysis of Sales/Eamings 2/11/03 6. FFH Equity Research Note : Company Update 3/10/03 7. FFH Equity Research Note: Company date 4/3/03 8. FFH Equity Research Note: Analysis of Sales/Eamin s 5/6/03 9. FFH Equity Research Note: Analysis of Sales/Eamin . 5/14/03 10 . FFH Equity Research Note: Analysis of Sales/Earnin 8/26/03 11. FFH Equity Resear ch Note: Analysis of Sales/Eamings 10/8/03 12. FFH Equity Research Note: Analysis of Sales/Eamin 11/26/03 13. FFH Equity Research Note: Analysis of Sales/Eamin 2/17/04 14. FFH Equity Research Note: Company News 2/24/0 4 15. FFH Equity Rese arch Note: Analysis of Sales/Eamings 3/12/04 16. FFH Equity Research Note: Analysis of Sales/Eamin s 8/9/04 17. FFH Equity Rese arch Note: Accounting Discussions 8/11/04 18. FFH Equity Research Note : Analysis of Sales/Earnin s 8/19/04 19. FFH Equity Rese arch Note: Accoun ting Discussion 8/27/04 20. FFH Equity Research Note : Analysis of Sales/Eamings 9/7/04 21 . FFH Equity Rese arch Note: Industry Note 9/7/04 22. FFH Equity Research Note : Estimate Change 10/5/04 23 . FFH Equity Research Note : Analysis of Sales/Eamin s 10/29/04 24 . FFH Equity Rese arch Note: Accounting Discussion 11/3/04 25. FFH Equity Research Note : Accounting Discussion 11/24/04 26. FFH Equity Rese arch Note: Accounting Discussion 1/3/05

65 27, FFH Equity Research Note : Analysis of Sales/Earnings 2/11/0 5 28. FFH Equity Resear ch Note: Analysis of Sales/Earnings 5/2/05 29. FFH Equity Resear ch Note: Accounting Discussion 6/28/0 5 30. FFH Equity Resear ch Note: Accounting Discussion 7/13/0 5 31 . FFH Equity Resear ch Note: First Look 7/29/05 32. FFH Equity Research Note : Accounting Discussion 7/29/05 33 . FFH Equity Research Note : Analysis of Sales/Earnings 7/29/05 34. FFH Equity Research Note : Industry Note 9/2/05 35. FFH Equity Research Note : Estimate Ch ange 9/6/05 36. FFH Equity Rese arch Note: mid-day look 9/6/05 37. FFH Equity Rese arch Note: Estimate Change 9/1 2/05 38. FFH Equity Rese arch Note: Industry Note ^ 1016/05 39. FFH Equity Research Note: Company News 101110/0 5 40. FFH Equity Research Note: Analysis of Sales/Earnings 10/3.1/05 41 . FFH Equity Rese arch Note: Accounting Discussion 11/3/05 42. FFH Equity Rese arch Note: Estimate Change - I• /2/05 43. FFH Equity Rese arch Note: Pre-Results Comment 1/27/06 44. FFH Equity Research Note: Company News 1213/0 6 45. FFH Equity Research Note: mid-day look /10/06 46. FFH Equity Research Note : Analysis of Sales/Earnings /10/06 47. FFH Equity Research Note: Accounting Discussion 2/16/06 48. FFH Equity Research Note : mid-day look 2/17/06 49. FFH Equity Research Note : Accounting Discussion 2/23/06 50. FFH Equity Research Note: Company News : 3/2/0 6 51 . FFH Equity Research Note : Accounting Discussion 3/6/06 52. FFH Equity Research Note: mid-day look . 3/20/06 53. FFH Equity Research Note: Company News 3/20/0 6 54. FFH Equity Research Note: Accounting Discussion 3/29/60 55. FFH Equity Research Note: Strategic Review 4110106 56. FFH Equity Resear ch Note: Accounting Discussion 4/12/06 57. FFH Equity Research Note : mid-day look 4117/06 58. FFH Equity Research Note: Accounting Discussion 4/17/0 6 59. FFH Equity Resear ch Note: first look 4/28/06 60. FFH Equity Resear ch Note: Analysis of Sales/Eamin s 5/1/06 61 . FFH Equity Resear ch Note: mid-day look 5/8/06 62. FFH Equity Research Note: Accounting Discussion 518/0 6 63. FFH Equity Research Note: Industry Note 5/25/06 64. FFH : Pre Results Comments 7/21/06

TABLE B RECIPIENTS OF MORGAN KEEGAN REPORT S COMPANY/INDIVIDUAL ADDRESS CP YISTAT E 1 . Max Bernstein 401 East 34th Street, 35G -Ne York, NY 2. James Ch anos 350 E . 79th Street, 35A Net York . NY 3. Spyro Contogouris 12 East 78th S treet Ne Yor .NY 4. Exis Capital Management 767 3d Avenue Ne York, N Y 5. Greenlight Capital, LLC 140 East 45th S treet Ne Yor - NY 6. John Hem ton 84 Hopetoun Avenue S e , Australia 7. Brett Lawless 860 Old Chester Road Farills,.NJ 8. Lighthouse Capital Management, Inc. 1000 Memorial Drive, Ho on Texas 9. Lone Pine C ital Management, LLC Two Greenwich Plaza Gr with . CT 10, Jeff Perry 9 Wayside Lane Sc dale, N Y 11 . Pe not Capital Management 500 Nyala Farm Rd We ort, C T 12. Perry Capital Mana ement 599 Lexington Avenue Nel1'or NY 13. Platinum Asset M anagement 55 Harrington Street S , ' . Australia, 14. David Rocker 43 Minnisink Road Sh Hills, 1\13 15 . Rocker Partners 374 Millburn Avenue Militm. NJ E 16. SAC Capital Advisors, LLC 72 Cummings Point Road Staiford, C T 17. SAC Capital Associates, LLC 72 Cummings Point Road Sta,ford. CT

66 18. SAC Capital Management LLC 72 Cumm ings Point Road Stamford. CT 19. Adam D . Sender 109 Greene S treet 4B New York. NY 20 . Sigma Capital Management , LLC 540 Madison Avenue New York, N Y 21. Third Point, LLC 390 Park Avenue New York NY 22 . Trinity Capital Management Inc. 1819 Goodwin Street Jacksonville, FL 23 . Trinity Fund . Ltd. 1620 Independence Square Jacksonville, FL 24 . Viking Capital Management 280 Park Avenue New York, NY 25 . Ziff Brothers Investments 153 East 53 Street - New York, NY

162. Enterprise member Lawless also disseminated false and misleading report s concerning Fairfax . For example, as set forth above, Lawless disseminated such a false an d misleading report on March 2, 2005 . That report was distributed to no fewer than the 2 5

Enterprise Members set forth in Table B above, as well as to many other individuals and entitie s throughout the United States and internationally.

163 . Enterprise members spoke on the phone, used electronic mail and U .S. mail

regularly to conduct the activities of the Enterprise . The total number of phone calls, e-mails and

mailings and the identities of all Enterprise members is not yet known, but Enterprise members

engaged in the following phone calls, e-mails, and U.S. mailings as set forth in Table C, eac h

constituting a separate mail or wire communication in furtherance of the fraudulent scheme :

TABLE C MAIL AND WIRE COMMUNICATIONS Sender/Caller Recipient Date Subject Method Max Bernstein Fairfax CFO 9/ 6/05 Seeking comment on SEC Phone call subpoena to Fairfax Spyro Contogouris Fairfax 10/7/05 "FFH Morning Note" U.S. mail and E - on behalf of "Mi4" shareholders, mail an al ysts, and rating agencie s Stocklemon.com N/A 10/21/05 Posted report "Where Website There 's Smoke There' s Fire ...Could Fairfa x Financial Be the Next Refco?????" Max Be rnstein Prem Watsa 11/9/05 E-mail attaching an article E-mail regarding the Fugitive Marty Franke l Max Bernstein as Prem Watsa 11/10/05 "EX REFCO CEO E-mai l Monty Gardener BENTNETT CHARGED WITH SECURITIE S FRAUD, OTHER S CHARGED IN 8-COUNT INDICTMENT"

67 Max Be rnstein [name omitted] 11/15/05 Interest in Prem Watsa and Phone cal l I Fairfax Max Bernstein as Prem Watsa 11/15/05 "EX REFCO CEO E-mail Monty Gardener BENNETT CHARGED WITH SECURITIES FRAUD, OTHERS CHARGED IN 8-COUN T INDICTMENT" Max Bernstein Fairfax 12/16/05 Attaching document E-mai l shareholders, "Trevor's Travels : Th e analysts, rating Kingsmead Fraud -Another agencies and media Enron-like, off balance sheet deception ." Max Bernstein as Prem Watsa 12/16/05 Asking if Prem was using E-mail Robert Rafelson shareholder money to fuel the corporate jet for hi s family 's personal use . Max Bernstein as [name omitted] 12/19/05 "To Fairfax or Whatever It Is E-mai l Dick Tracey Today" attaching articl e regarding the Fugitive Marty Frankel sent to Prem Watsa on 11/9/05 Max Bernstein as [name omitted] 12/19/05 "Personal Use of the Fairfax E-mai l Dick Tracey Corporate Jet by Prem Watsa and Family" and attachin g article regarding Marty Frankel's use of the corporate jet. Max Bernstein as [name omitted] 12/21/05 Resending 12/19/05 email E-mai l Dick Tracey "To Fairfax or Whatever It Is Today" attaching articl e regarding the Fugitive Marty Frankel sent to Prem Wats a on 11/9/0 5 Max Bernstein as [name omitted] 12/21/05 Resending 12/19/05 email E-mai l Dick Tracey "Personal Use of the Fairfax Corporate Jet by Prem Watsa and Family"and attachin g article regarding Marty Frankel's use of the corporate jet . Max Bernstein as [name omitted] 12/29/05 Resending 12/19/05 email E-mail Dick Tracey "To Fairfax or Whatever It I s Today" attaching article regarding the Fugitive Marty Frankel sent to Prern Watsa on 11/9/0 5 Max Bernstein as [name omitted] 12/29/05 Resending 12/19/05 email E-mai l Dick Tracey "Personal Use of the Fairfax Corporate Jet by Prem Wats a and Family" and attachin g article regarding Marty Frankel's use of th e corporate jet . Max Bernstein as [name omitted] 12/30/05 Resending 12119/05 email E-mai l Dick Tracey "To Fairfax or Whatever It Is Today" attaching articl e regarding the Fugitive Marty Frankel sent to Prem Watsa on 11/9/0 5 Max Bernstein as [name omitted] 12/30/05 Resending 12/19/05 email E-mai l

68 Dick Tracey "Personal Use of the Fairfax Corporate Jet by Prem Watsa and Family"and attachin g article regarding Mart)' Frankel's use of th e corporate •et. . Spyro Contogouris N/A 12/30/05 Launch of Website s www .premwatsa.com, - . www.premwatsa.net; N%-.,Av.Premwatsa.co.uk Max Bernstein Tucker Hall 1/30/06 Demanding information Phone call concerning certain FFH subsidiaries Exis, Spyro Fairfax January 2006 Acting as unbiased analysts Phone cal l Contogouris and shareholders, Enterprise member contact Max Bernstein analysts, ratings Fairfax shareholders , agencies and analysts, ratings agencies media, including and media, including Bre t Brett Lawless and Lawless and John Gwynn to John Gwynn spread their misinformation . Unknown N/A 2/14/06-2/16/06 Six one minute "Attacks" on E-mail Fairfax website aimed at obtaining otherwise compromising the Fairfax web server Max Bernstein as Chris Clark of Price 3/2/06 Attaching documents E-mai l Robert Rafael Waterhouse •purporting to show that Pric e Waterhouse knew of materia l inflation in the financial statements of FFHL uxembour S.a.r.l. Max Bernstein as Dennis Nally of 3/2/06 Attaching documents E-mai l Robert Rafael Price Waterhouse purporting to show that Price Waterhouse knew of material inflation in the financia l statements of FFH L (Luxembourg) S.a.r.l. Max Bernstein as Chris Clark of Price 3/6/06 Attaching documents E-mail Robert Rafael Waterhouse purporting to show that Price Waterhouse knew of material inflation in the financial statements of FFHL (Luxembourg) S.a.r.l. Max Bernstein as Dennis Nally of 3/6/06 Attaching documents E-mail Robert Rafael Price Waterhouse purporting to show that Pric e Waterhouse knew of material inflation in the financial statements of FFHL (Luxembourg) S .ar.l. Spyro Contogouris Chris Clark of Price 3/9/06 Purporting. to bring to E-mai l from Waterhouse auditors' attention that a [email protected] PWC affiliate in Indi a resigned as auditor of a company in which Odyssey Re had made an investment Spyro Contogouris Dennis Nally of 3/9/06 Purporting to bring to E-mai l from Price Waterhouse auditors' attention that a spyromi4@aim .com PWC affiliate in Indi a resigned as auditor of a company in which Odyssey Re had made an investment

69 Spyro Contogouris Catherine Regan, 3/9/06 Email stating "I am reading E-mail from General Counsel about you in the Lawer [sic ] [email protected] for Fairfax News and am stunned by th e European fact that you are posing next Subsidiary to the largest nose I have ever seen..." Spyro Contogouris Andy Barnard 3/10/ 06 E-mai l from -. s yromi4 im .com Spyro Contogouris Rob Giammarco 3/10/ 06 E-mail fro m s romi4na aim .com Spyro Contogouris Greg Taylor, 3/10/06 E-mail from Fairfax CF O [email protected] Anonymous Prem Watsa 3/16/06 Audio Clip from Harry Phone cal l Potter Anonymous Greg Taylor 3/16/06 Audio Clip from Harry Phone call Potter maestro099 N/A 3/21/06 Post on FFH investor chat Web post board reported `Bad new s coming" Brett Lawless Fairfax 3/29/06 Giving out information on E-mai l Shareholders Fairfax ostensibly in hi s capacity as CFRA analyst Brett Lawless Fairfax 3/29/06 Giving out information on Phone cal l Shareholders Fairfax ostensibly in his capacity as CFRA analyst

164. Enterprise members at various times participated in Fairfax quarterly conferenc e calls. The total number of calls and the identities of each participant is not yet known, but th e

Enterprise members participated in the following quarterly conference calls, as set forth in Table

D, each call into the conference constituting a communication by wire in furtherance of th e

fraudulent scheme:

TABLE D FAIRFAX CONFERENCE CALLS Conference Call Enterprise Participants 2/11/03 Greenlight Capita l John Gwynn John Hempton Brett Lawless Lone Pine Morgan-Keegan Perry Capital Platinum Asset Managemen t SAC Capital Sigma Capital Managemen t Third Poin t 2/24/03 SAC Capital

70 5/5/03 James Chanos Greenlight Capital John Hempto n Brett Lawless Platinum Asset Managemen t SAC Capital Sigma Capital Third Point 5/16/03 Greenlight Capital 8/1/03 John Gwynn Lone Pin e Morgan Keegan Sigma Capital 8/15/03 Lighthouse Private Client Greenfight Capital 11/3/03 John Gwyn n Lighthouse Lone Pin e Morgan Keegan 11/17/03 Greenlight Capital John Hempto n Brett Lawles s Platinum Asset Management 2/9104 Greenlight Capita l John Gwynn John Hempton Brett Lawless Lighthouse Morgan Keega n Platinum Asset Management Sigma Capital Ziff Brothers 2/23/04 Lone Pin e Morgan Keegan 4/30/04 John Gwynn John Hempton Brett Lawless Lone Pine Morgan Keegan Pequot Capital Platinum Asset Management SAC Capital Advisors Ziff Brothers 5/14/04 Brett Lawles s SAC Capital Advisors 7/30/04 John Gwynn Brett Lawless Lone Pine Morgan Keegan SAC Capital Sigma Capital Management 8/13/04 Brett Lawles s 10/29/04 John Gwyn n John Hempto n Brett Lawles s Lone Pin e Morgan Keegan Platinum Asset Management SAC Capital 2/11/05 John Gwynn Brett Lawless

71 Lone Pine Morgan Keegan 4/29/05 John Gwyn n Brett Lawless Lone Pin e Morgan Keegan Rocker Partners Ziff Brothers 7/29/05 Spyro Contogouri s Exis John Gwynn Brett Lawless Lone Pine Morgan Keegan Rocker Partners Ziff Brothers 10/28/05 Spyro Contogouri s Exis John Gwynn Lighthouse Private Client Group Lone Pin e Morgan Keegan Jeff Perry Third Point Ziff Brothers 2/10/06 John Gwynn Morgan Keegan Ziff Brothers

165. As set forth herein, as part of their pattern of racketeering activities and i n

furtherance of and to assist their scheme and artifice to defraud plaintiffs, among others, each o f

the defendants knowingly, willfully, and unlawfully made misrepresentations or omissions of

material fact for the purpose of harming plaintiffs' businesses and inducing Fairfax shareholder s

and others to rapidly sell their Fairfax shares and artificially depress the price of the commo n

stock. Such misrepresentations and omissions, and the aiding and abetting suc h

misrepresentations and omissions , constitute securities fraud in violation of N .J.S.A. 49 :3-71 and

N.J.S.A. 2C:2-6, and independently constitute violations of 15 U.S.C. §§ 78j and 78ff.

166. Defendants' activities set forth herein, including the dissemination of false an d

misleading reports that fail to disclose the true source and intent of their information, als o

constitute violations of N.J. S.A. 2C :21-7(i).

72 167. As part of their pattern of racketeering activities and in furtherance of and to assist their scheme and artifice to defraud Fairfax, among others, the S .A.C. Defendants, Exis

Defendants, Lone Pine Defendants, Rocker Defendants, Third Point Defendants, Trinity

Defendants, Morgan Keegan Defendants and Lawless knowingly, willfully, and unlawfully

engaged in commercial bribery and breach of duty to act disinterestedly in violation of N .J.S.A.

2C:21-10 by accepting and agreeing to accept certain benefits as consideration for violating or

agreeing to violate their duties of fidelity to their clients, by participating in a scheme that put

their clients at serious financial risk and resulted in substantial financial injury to their clients.

As part of their pattern of racketeering activities and in furtherance of and to assist .their scheme

and artifice to defraud plaintiffs, among others, The S .A.C. Defendants, Exis Defendants, Lone

Pine Defendants, Rocker Defendants, Third Point Defendants, Trinity Defendants, Morgan

Keegan Defendants and Lawless Defendants knowingly, willfully and unlawfully engaged in

commercial bribery in violation of N .J.S.A. 2C:21-10 by inducing other Enterprise members to

accept and agreeing to accept certain benefits as consideration for violating or agreeing to violate

their duties of fidelity as independent analysts for their clients .

168. From at least 2002 and continuing to the present, the defendants repeatedl y

engaged in illegal acts under N.J.S.A. 49:3-71, N.J.S.A. 2C:2-6, N.J.S.A. 2C:21-7 and 2C :2-6

(relating to deceptive business practices), and N .J.S.A. 2C:21-10 and 2C :2-6 (relating to

commercial bribery) ; the same conduct or other conduct by the defendants as described herein

also violated 18 U.S .C. § 1341 (relating to mail fraud), 18 U .S.C . § 1343 (relating to wire fraud),

15 U.S .C. §§ 78j and 78ff, and 17 C .F.R. § 240.10b-5 (relating to securities fraud) . The

defendants used the United States mails, as well as wire and other communications in interstate

and foreign commerce in connection with these acts and thereby continually engaged in

73 "racketeering activity" within the meaning of N .J.S .A. 2C :41-1(a) and 2C:41-1(d), including by engaging in conduct defined as "racketeering activity" under 18 U .S.C. § 1961(1)(B), which is incorporated by reference in N .J.S .A. 2C:41-1(a)(2), in the course of the described criminal schemes.

169. The repeated violations by the defendants set forth herein extended over a perio d of years and involved distinct and independent criminal acts . They were neither isolated no r sporadic events, but involved the regular and repeated violation of law to accomplish th e defendants' desired ends in the course of continuing the fraudulent business of the Enterprise.

170. These acts were related to each other by virtue of (a) common participants ;

(b) common types of victims ; and (c) the common purpose and common result of concerted attacks on companies through the creation and dissemination of false and misleading reports concerning their businesses and stock, resulting in vast trading profits for the Enterprise members at the expense of the target companies, their employees and shareholders .

171 . These repeated an d continuing violations of N.J. S.A. 2C:41-1(a) and 2C:41-1(d) were neither isolated nor sporadic events, but involve a callous and calculated series of repeated violations of law in order to conceal- and promote criminal activity in the course of the continuing business of the Enterprise. These activities therefore constitute a further component of a patter n of racketeering activity within the meaning ofN.J.S.A. 2C:41-1(a) and 2C :41-1(d).

172. Each of the S .A.C. Defendants, Exis Defendants, Lone Pine Defendants, Rocke r

Defendants, Third Point Defendants, Trinity Defendants, Morgan Keegan Defendants and

Lawless were, or were employed by, active participants in the Enterprise and all of them knowingly and intentionally violated or aided violations of N.J.S.A. 2C:41-2(c) by directly o r

74 indirectly conducting or participating in the conduct of the affairs of the Enterprise through a pattern of racketeering activity.

173 . By the conduct, acts, and omissions set forth in detail above, each of the S .A.C.

Defendants, Exis Defendants, Lone Pine Defendants, Rocker Defendants, Third Point

Defendants, Trinity Defendants, Morgan Keegan Defendants and Lawless also aided and abetted the other Enterprise members in violating N .J.S .A. 2C:41-2(c).

174. Each of the S.A.C. Defendants, Exis Defendants, Lone Pine Defendants, Rocke r

Defendants, Third Point Defendants, Trinity Defendants, Morgan Keegan Defendants and

Lawless aided, abetted, counseled, induced, and procured the commission of the wrongful acts

set forth above and may therefore be held liable as a principal, to the same extent as the other

defendants.

175 . Each of the S.A.C. Defendants, Exis Defendants, Lone Pine Defendants, Rocke r

Defendants, Third Point Defendants, Trinity Defend ants, Morgan Keegan Defendants and

Lawless were not merely reckless or negligent in their conduct. Each defendant engaged in the

conduct, acts and omissions described above willfully and with actual knowledge of their

illegality and actual purpose to the detriment of plaintiffs and other companies, their respective

employees and shareholders .

176. These violations of NT.J.S .A. 2C:41-2(c) caused plaintiffs to suffer direct injury to

their businesses and property through the billions of dollars in lost revenues, pro fit, enterprise

value, and enterprise value that was caused by the methods and practices of the Enterprise

described herein . Plaintiffs, therefore; are entitled to recover from the defend ants the amount in

which it has been damaged - to be trebled in accordance with N.J.S .A. 2C:41-4(c), together with

interest and the costs of this suit, including reasonable attorneys' fees .

75 COUNT lI

RACKETEERING (N.J.S.A. § 2C: 41-2(d)) (AGAINST ALL DEFENDANTS)

177. Plaintiffs restate each and every allegation of paragraphs 1 through 149 as if full y set forth herein.

178 . Beginning in or about January 2003 and continuing until the present, each of the

S.A.C. Defendants, Exis Defendants, Lone Pine Defendants, Rocker Defendants, Third Point

Defendants, Trinity Defendants, Morgan Keegan Defendants and Lawless knowingly agreed to facilitate the scheme described herein to manage, operate, conduct, and participate in the conduct of the affairs of the Enterprise and conspired to do so within the meaning of N .J.S.A. 2C:5-2 through a pattern of racketeering activity within the meaning of N .J.S .A. 2C:41-2(d).

179. Beginning in or about December 2002, each of the S .A.C. Defendants, Exis

Defendants, Lone Pine Defendants, Rocker Defendants, Third Point Defendants, Trinity

Defendants, Morgan Keegan Defendants and Lawless, being persons intimately involved in transactions carried on by and the affairs of the Enterprise -- which was engaged in, and the activities of which affected, trade and commerce -- unlawfully and willfully combined, conspired, confederated, and agreed with each other to violate N .J.S .A. 2C :41-2(c), that is, to conduct and participate, directly and indirectly, in the conduct of the affairs of the Enterprise, through a pattern of racketeering activity, all in violation of N .J.S.A. 2C:41-2(d).

180. Part of the conspiracy was that each of the S .A.C. Defendants, Exis Defendants,

Lone Pine Defendants, Rocker Defendants, Third Point Defendants, Trinity Defendants, Morgan

Keegan Defendants and Lawless personally committed or agreed to commit two or more fraudulent and illegal racketeering acts and conducted and agreed to conduct the affairs of th e

76 Enterprise through the pattern of racketeering activity in violation of N .J.S .A. 2C:41-2(c) described above.

181 . In furtherance of the conspiracy and to effect the objects thereof, the S.A.C.

Defendants, Exis Defendants, Lone Pine Defendants, Rocker Defendants, Third Point

Defendants, Trinity Defendants, Morgan Keegan Defendants and Lawless committed and cause d to be committed a series of overt acts, including :

a engaging in blatant manipulation of the market for the publicly-traded securities of Fairfax and other companies; • commissioning false and misleading reports concerning each of the plaintiffs and other companies; manipulating the issuance of such reports to benefit other Enterprise members and harm others to whom members of the Enterprise owed fiduciary and other duties; purchasing and/or selling securities in order to profit from the manipulated timing of the issuance of the fraudulent reports ; • charging Enterprise members and others substantial fees to receive the false and misleading information and reports that were created by Enterprise members; • issuing analyst reports that falsely purported to be "independent" but were, in fact, premeditated attacks on a number of companies, including Fairfax ; • fraudulently misrepresenting that Fairfax shares were overvalued due to, among others things, corporate malfeasance and aggressive accounting by the plaintiffs; • planting false and misleading information concerning the plaintiffs, and other companies with securities analysts, regulators, rating agencies, customers and investors; and • rebroadcasting and disseminating that false and misleading information to the media and the public.

182. These violations of N.J.S.A. 2C:41-2(d) caused plaintiffs to suffer direct injury to

their businesses and property through the billions of dollars in lost revenues, profit, and

enterprise value that was caused by the methods and practices of the Enterprise described herein .

Plaintiffs, therefore, are .entitled to recover from the defendants the amount in which it has bee n

77 damaged, to be trebled in accordance with N .J.S.A . 2C :41-4(c), together with interest and th e costs of this suit, including reasonable attorneys' fees .

COUNT III

COMMERCIAL DISPARAGEMENT (AGAINST ALL DEFENDANTS)

183 . Plaintiffs restate each and every allegation of paragraphs 1 through 149 as if full y set forth herein.

184. As set forth herein, defendants knowingly and intentionally published false and injurious statements about plaintiffs' businesses and property, 'including plaintiffs' ability to operate their businesses and implement their strategic plan . Defendants' false and malicious statements attacked the plaintiffs' business fundamentals, their accounting, and their current and future products in analyst reports, newspaper articles, direct communications, and internet message board postings that were both false and injurious .

185 . Defendants communicated these falsehoods to third-parties and understood an d intended that these false statements would have the effect of preventing others from doin g business with the plaintiffs and interfering with the plaintiffs' business relationships .

186. As set forth herein, these injurious attacks on plaintiffs' business and reputatio n included:

• The S .A.C. Defendants, Exis Defendants, Lone Pine Defendants, Rocker Defendants, Third Point Defendants, and Trinity Defendants commissioning of false and misleading reports from the Morgan Keegan Defendants and other Enterprise members, for public dissemination; • The S .A.C. Defendants, Exis Defendants, Lone Pine Defendants, Rocker Defendants, Third Point Defendants, Trinity Defendants, Morgan Keegan Defendants and Lawless planting of false and misleading information and collaborating with other Enterprise members to disseminate that information ; • The Morgan Keegan Defendants' issuance of false and misleading reports ; • The S .A.C. defendants' issuance of false and misleading reports;

78 • The dissemination of these false reports to media outlets by the defendants; • The defendants' dissemination and republication of those false and misleading reports in a direct attack on plaintiffs' businesses .

187. Defendants' false statements directly harmed the plaintiffs' businesses in numerous specific ways, including, without limitation :

• Harming the plaintiffs' business reputation, resulting in lower agency ratings and credit ratings . Such decreasing ratings caused, among other things, plaintiffs to suffer loss of underwriting business, increased costs of capital and financing, and loss of prospective acquisitions and other business opportunities. • Reducing plaintiffs' enterprise value by billions of dollars by causing existing investors to sell their shares in Fairfax stock, and causing potential new investors to refrain from purchasing Fairfax stock .

188. Defendants' wrongful disparagement of plaintiffs ' businesses and products in these and other respects has caused many hundreds of millions of dollars in harm to plaintiffs .

COUNT IV

TORTIOUS INTERFERENCE WITH CONTRACTUAL RELATIONSHIPS (AGAINST ALL DEFENDANTS )

189. Plaintiffs restate each and every allegation of paragraphs 1 through 149 as if full y set forth herein .

190. As set forth herein, plaintiffs had contracts and agreements with third-parties , including, but not limited to : (a) rating agencies; (b) bondholders; (c) employees; and (d) agents, producers, distributors and suppliers of plaintiffs' insurance products .

191 . Each of the defendants knew of plaintiffs' contractual relationships with thes e third-parties.

192. Defendants intentionally and maliciously interfered with plaintiffs' contracts with these third-parties by employing wrongful means that included unlawful securities market manipulation, mail and wire fraud and unlawful commercial bribery. This interference was

79 committed intentionally and without justification or excuse and was carried out by, among othe r things:

• The S.A.C. Defendants, Exis Defendants, Lone Pine Defendants, Rocker Defendants, Third Point Defendants, and Trinity Defendants commissioning of false and misleading reports from the Morgan Keegan Defendants and other Enterprise members, for public dissemination; o The S .A.C. Defendants, Exis Defendants, Lone Pine Defendants, Rocker Defendants, Third Point Defendants, Trinity Defendants, Morgan Keegan Defendants and Lawless planting of false and misleading information and collaborating with other Enterprise members to disseminate that information; • The Morgan Keegan Defendants' issuance of false and misleading reports ; The S .A.C. defendants' issuance of false and misleading reports ; o The dissemination of these false reports to media outlets by the defendants ; a The defendants' dissemination and republication of those false and misleading reports in a direct attack on plaintiffs' businesses .

193 . Each of the defendants was aware of, and intended to cause, the detrimenta l impact on plaintiffs' contractual relations that was caused by the defendants' respective actions .

194. As a direct and proximate cause of defendants' intentional interference with plaintiffs' contractual relationships with third -parties, plaintiffs' contractual relationships wer e damaged, and plaintiffs' suffered resulting monetary damages . in an amount to be determined at trial .

COUNT V

TORTIOUS INTERFERENCE WITH PROSPECTIVE ECONOMIC ADVANTAGE (AGAINST ALL DEFENDANTS )

195. Plaintiffs restate each and every allegation of paragraphs 1 through 149 as if full y set forth herein.

196. Plaintiffs had business relationships and prospective business relationships wit h many third-parties, including, but not limited to : (a) shareholders and bondholders ; (b) actual and potential lenders; (c) other actual and potential marketing and business partners ; (d) agents,

80 producers, and other actual and potential distributors and suppliers of plaintiffs' products ; and (e)

shareholders and management of various companies under consideration for acquisition b y

plaintiffs.

197 . Each of the defendants knew of plaintiffs' actual and potential contractual and

business relationships with these third-parties.

198 . Defendants intentionally and maliciously interfered with plaintiffs' relationships

with these third-parties by employing wrongful means that included unlawful securities market

manipulation, mail and wire fraud, and unlawful commercial bribery . This interference was

committed intentionally and without justification or excuse and was carried out by, among other

things :

o The S.A.C. Defendants, Exis Defendants, Lone Pine Defendants, Rocker Defendants, Third Point Defendants, and Trinity Defendants commissioning of false and misleading reports from the Morgan Keegan Defendants and other Enterprise members, for public dissemination ; • The S.A.C. Defendants, Exis Defendants, Lone Pine Defendants, Rocker Defendants, Third Point Defendants, Trinity Defendants, Morgan Keegan Defendants and Lawless planting of false and misleading information and collaborating with other Enterprise members to disseminate that information; • The Morgan Keegan Defendants' issuance of false and misleading reports ; • The S.A.C. defendants' issuance of false and misleading reports ; • The dissemination of these false reports to media outlets by the defendants; • The defendants' dissemination and republication of those false and misleading reports in a direct attack on plaintiffs' businesses .

199. Plaintiffs had a reasonable expectation that each of the aforementioned busines s relationships would result in plaintiffs obtaining the benefits of these business opportunities .

However, defendants' wrongful actions directly caused plaintiffs to lose or alter the busines s relationships described herein, to plaintiffs' economic detriment . Each of the defendants wa s

81 aware of, and intended to cause, this detrimental impact on plaintiffs' prospective and actua l

contractual relations .

200. As a direct and proximate cause of defendants' intentional interference wit h

plaintiffs ' actual and prospective contractual relationships with third-parties, plaintiffs' busines s

relationships were damaged, and plaintiffs suffered resulting monetary damages in an amount to

be determined at trial . .

COUNT VI

COMMON LAW CIVIL CONSPIRACY .(AGAINST ALL DEFENDANTS )

201 . Plaintiffs restate each and every allegation of paragraphs 1 through 149 as if fully

set forth herein .

202. As set forth herein, each of the defendants, together with others, conspired wit h respect to Counts III through V and acted in concert to commit unlawful acts . Each of the

defendants shared the same conspiratorial objective, which was to create and disseminate false

and misleading statements and reports concerning the plaintiffs' business, with the goals of harming the plaintiffs' businesses and profiting from that harm through improper and unlawful trading in Fairfax securities . Each of the defendants understood the objectives of the scheme, accepted them, and was an active and knowing participant in the scheme .

203 . The defendants' conspiratorial scheme was carried out by the commission of th e wrongful and overt acts set forth above, including :

o The S.A.C. Defendants, Exis Defendants, Lone Pine Defendants ; Rocker Defendants, Third Point Defendants, and Trinity Defendants commissioning of false and misleading reports from the Morgan Keegan Defendants and other Enterprise members, for public dissemination; • The S.A.C. Defendants, Exis Defendants, Lone Pine Defendants, Rocker Defendants, Third Point Defendants, Trinity Defendants, Morgan Keega n

82 Defendants and Lawless planting of false and misleading information and collaborating with other Enterprise members to disseminate that information ; 0 The Morgan Keegan Defendants' issuance of false and misleading reports ; • The S .A.C. defendants' issuance of false and misleading reports ; • The dissemination of these false reports to media outlets by the defendants ; o The defendants' dissemination and republication of those false and misleading reports in a direct attack on plaintiffs' businesses .

204. As a direct, proximate result of the operation and execution of the conspiracy ,

plaintiffs have been injured and suffered damages in an amount to be proven at trial .

205 . At all relevant times, the defendants' conduct was willful and done with lega l

malice and knowledge that it was wrongful .

DEMAND FOR JURY TRIAL

206 . Demand is hereby made for a trial by jury for all issues so triable .

WHEREFORE, Plaintiffs demand judgment:

(a) Awarding plaintiffs compensatory damages in amounts to be determine d at trial, together with interest, attorneys' fees, costs and disbursements ;

(b) Awarding plaintiffs punitive and exemplary damages in amounts to b e determined at trial ;

(c) Awarding plaintiffs treble damages, costs of suit, attorney's fees and cost s of litigation under N.J.S .A. 2C:41-4(c), in amounts to be determined at trial;

(d) Awarding plaintiffs injunctive relief preventing defendants from engagin g in continued wrongful activity, as set forth herein, in the form that the Court may determine i s just and proper;

83 (e) Prejudgment and post-judgment interest; and

(f) Such other and further relief as is just and proper .

Dated: July 26, 2006 Respectfully submitted,

NAGEL CE & MAZIE, LLP

By, race H. Nagel, Esq. Jay J. Rice, Esq. 103 Eisenhower Parkway Roseland, New Jersey 07068

and

Marc E. Kasowitz, Esq. Daniel .R Benson, Esq . Michael J. Bowe; Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFF S

84 DESIGNATION OF TRIAL COUNSEL

Pursuant to R. 4 :25-4, Plaintiffs designate Bruce H. Nagel, Esq. as trial counsel in thi s matter.

NAGEL RI E & MAZIE, LLP Attorneys or Plaintiffs

By: LB'm'ce H. Nagel, Esq. Jay J. Rice, Esq.

Dated: July 26, 2006

85 JURY DEMAND

Plaintiffs hereby demand trial by jury of all issues so triable .

NAGEL RICE & MAZI[, LLP Attorneys 59 Plaintiffs By: ruce ft. -Nagel, Esq . Jay J. Rice, Esq.

Dated: July 26, 2006

86 RULE 4:5-1 CERTIFICATION

Plaintiffs, by their attorneys, hereby certify that the matter in controversy is or may be the subject of other pending judicial proceedings as set forth below. Plaintiffs do not believe that o f the parties in the other pending judicial proceedings should be joined in this action .

Fisher. et al. v. Fairfax Financial Holdings LTD .. et al., C.A. No. 1 :06-cv-0371 3 (GBD), U.S. Court for the Southern District of New York. The parties in the action are:

a) Glenn M . Fisher b) Carol M . Trivette c) C.I. Funds Group d) Fairfax Financial Holdings LTD . e) V. Prem Watsa f) Trevor Ambridge g) Anthony F. Griffiths h) Robert Hartog i) Bradley P. Martin j) Bane of America Securities, LL C

2. Parks. et al. v. Fairfax Financial Holdings LTD. et al., C.A. No. 1 :06-cv-02820 (GBD), U.S. Court for the Southern District of New York. The parties in the action are:

a) Kenneth Parks b) William Seymour c) C.I. Funds Group d) Fairfax Financial Holdings LTD . e) V. Prem Watsa f) Trevor Ambridge g) M. Jane Williamson h) Anthony F . Griffiths i) Robert Hartog j) Bradley P. Martin k) Banc of America Securities, LLC 1) Britton-Notay

3. Johnson. et al. v. Fairfax Financial Holdings LTD. et al., 1 :06-cv-03463 (RJH), U .S. Court for the Southern District of New York . The parties in the action are:

87 a) Shane Johnson b) C.I. Funds Group c) Fairfax Financial Holdings LTD . d) V. Prem Watsa e) Greg Taylor f) Trevor Ambridge g) M. Jane Williamso n

4. Jaffe. et al. v. Fairfax Financial Holdings LTD . et al.. 1 :06-cv-03127 (GBD), U.S . Court for the Southern District of New York. The parties in the action are:

a) Richard E . Jaffe b) C.I. Funds Group c) Fairfax Financial Holdings LTD . d) V. Prem Watsa e) Greg Taylor . f) Trevor Ambridg e g). M. Jane Williamson

NAGEL RICE & MAZIE, LLP Attorneys r Plaintiffs

By: Bruce H . Nagel, Esq. Jay J. Rice, Esq.

Dated: July 26, 2006

88 Exhibit B Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-040 0

Marc E. Kasowitz, Esq. Daniel R. Benson, Esq. Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-170 0

ATTORNEYS FOR PLAINTIFFS

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP., LAW DIVISION: MORRIS COUNT Y

Plaintiffs , DOCKET NO. MRS-L-2032- 6

- against -

S.A.C. CAPITAL MANAGEMENT, LLC, S .A.C . Civil Action CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S.A.C. HEALTHCO FUNDS, LLC. SIGMA. CAPITAL MANAGEMENT. LLC. STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L.P .. EXIS INTEGRATED PARTNERS, L .P., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS ; L.P., COPPER RIVER PARTNERS, L .P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD., MORGAN KEEGAN & COMPANY, INC ., JOHN D . GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants. Trinity Capital of Jacksonville, Inc .

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit. If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer .or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above. A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment.

If you cannot afford an attorney, you may call the Legal Services office in the county where you live . A list of these offices is provided. If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided .

Dated: U! ~'

Superior Court Cler k

Name of Defendant to be Served : Trinity Capital of Jacksonville, Inc . Address of the Defendant to be Served 1819 Goodwin S treet Jacksonville , FL 32204

* $105 .00 FOR CHANCERY DIVISION CASES OR $110.00 FOR LAW DIVISION CASES ATLANTIC COUNTY : CUMBERLAND COUNTY : MERCER COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (201) 345-7171 ) Civil Division , Direct Filing Civil Case Management Office Local Filing Office, Courthouse 1201 Bach arach Blvd., 1n Flr . Broad & Fayette Sts ., P .O. Box 615 175 S . Broad Street, P .O. Box 8068 SALEM COUNTY : Atlantic City, NJ 08401 Bridgeton , NJ 08302 Trenton, NJ 0865 0 Deputy Clerk ofthe Superior Court LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Mark S treet, P.O. Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem, NJ 0807 9 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-420 0 (609) 451-000 3 (609) 695-624 9 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY : ESSEX COUNTY: M IDDLESEX COUNTY: (609) 451-000 3 Deputy Clerk of the Supe rior Court Deputy Clerk of the Superior Cou rt Deputy Clerk ofthe Superior Case Processing Sectio n 237 Hall of Record s Court, Administration Building SOMERSET COUNTY : Room 119 v 465 Dr. Martin Luther King Jr. 3`0 Flr., I Kennedy Squar e Deputy Clerk of the Superior Court Justice Center , 10 Main St. Blvd . P.O. Box 2633 Civil Division Offic e Hackensack. NJ 07601-0769 Newark, NJ 07102 New Brunswick, NJ 08903-2633 New Cou rt House, 3`d Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL P.O. Box 3000 (201) 488-0044 (201) 622-6207 (908) 828-0053 Somerville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-2166 (201) 624-450 0 (908) 249-760 0 (908) 685-2323 LEGAL SERVICES BURLINGTON COUNTY : GLOUCESTER COUNTY : MONMOUTH COUNTY : Deputy Clerk of the Superior Court Deputy Clerk ofthe Superior Cou rt Deputy Clerk of the Superior Court (908) 231-0840 Central Processing Office, Attn : Civil Case M anagement Office 71 Monument Park, P .O. Box Judicial Intak e Attn: Intake v 1262, Court House, West Wing SUSSEX COUNTY : 1' Flr., Court Facility Court House Freehold, NJ 07728-1262 V Deputy Clerk of the Superior Court 49 Rancocas Road I North Broad St ., P .O. Box 129 LAWYER REFERRAL Sussex County Judicial Center Mt. Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 43-47 High Street LAWYER REFERRAL LAWYER REFERRAL LEGAL SERVICES Newton, NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-0200 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-018 8 (609) 848-5360 MORRIS COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court (201) 383-7400 CAMDEN COUNTY : HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Court Deputy Clerk of the Superior P.O. Box 91 0 UNION COUNTY : Civil Processing Office Court, Superior Court Civil Morristown, NJ 07930-09 10 Deputy Clerk of the Superior Court 1 n Fl, Hall of Records Records Dept . LAWYER REFERRAL l n Fl.. Court House 101 S . Fifth Street Brenn an Court House, I' Fl . (201) 267-5882 Broad Street Camden . NJ 08103-4001 583 New ark Avenue LEGAL SERVICES Elizabeth, NJ 07207-6073 LAWYER REFERRAL Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-4520 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-4340 (201) 798-636 3 Court, Court House Room 119 CAPE MAY COUNTY : 118 Washington Street WARREN COUNTY : Deputy Clerk of the Superior Cou rt HUNTERDON COUNTY : Toms River, NJ 08754 Deputy Clerk of the Superior Court 9 N. Main St ., Box DN-20 9 Deputy Clerk of the Superior Court LAWYER REFERRAL Civil Division Office Cape May Court House, NJ 08210 Civil Divisio n (908) 240-3666 Court Hous e LAWYER REFERRAL 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington . NJ 08822 (908) 341-2727 ) Belvidere, NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (609) 465-3001 (908) 735-2611 PASSAIC COUNTY : (201) 267-588 2 LEGAL SERVICES Depu ty Clerk of the Superior LEGAL SERVICES (908) 782-7979 Court, Civil Division Court House 77 Hamilton Street (908) 475-2010 Paterson, NJ 07505 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq. Jay J. Rice, Esq . NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-040 0

Marc E. Kasowitz, Esq . Daniel R. Benson, Esq . Michael J . Bowe, Esq . KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFF S

------FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP .. LAW DIVISION : MORRIS COUNT Y

Plaintiffs, DOCKET NO. MRS-L-2032-6

- against -

S .A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Actio n CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S .A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC ., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L .P., EXIS INTEGRATED PARTNERS, L .P., ADAM D . SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL . LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P., COPPER RIVER PARTNERS, L .P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE. INC., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC ., JOHN D . GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES I THROUGH 50, Defendants . Third Point LL C

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625. A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment.

If you cannot afford an attorney, you may call the Legal Services office in the county where you live . A list of these offices is provided. If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided.

Dated: Lr

I Superior Court Clerk

Name of Defendant to be Served : Third Point LLC Address of the Defendant to be Served : 390 Park Avenue, #1 8 New York, NY 1002 2

* $105 .00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES ATLANTIC COUNTY : CUMBERLAND COUNTY: MERCER COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (201) 345-7171 ) Civil Division, Direct Filing Civil Case Management Office Local Filing Office, Courthouse 1201 Bacharach Blvd .. 1p Flr. Broad & Faye tte Sts., P.O . Box 615 175 S. Broad Street, P .O. Box 8068 SALEM COUNTY: Atlantic City, NJ 08401 B ri dgeton , NJ 08302 Trenton, NJ 08650 Deputy Clerk of the Supe ri or Coun LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street, P .O . Box 18 (609) 345-344 4 (609) 692-6207 (609) 585-6200 Salem , NJ 08079 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-420 0 (609) 451-0003 (609) 695-624 9 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY : ESSEX COUNTY : MIDDLESEX COUNTY : (609) 451-000 3 Deputy Clark of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superi or Case P rocessin g Sectio n 237 Hall. of Record s Court, Administr ation Building SOMERSET COUNTY : Room 119 - 465 Dr . Mart in Luther King Jr . 3`4 Flr., I Kennedy Square Deputy Clerk of the Superior Court Justice Center , 10 Main St . Blvd . P.O . Box 263 3 Civil Division Office Hackensack. NJ 07601-0769 Newark, NJ 07102 New Brunswick, NJ 08903-2633 New Court House, 3" Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL P .O . Box 3000 (201) 488-004 4 (201) 622-6207 (908) 828-0053 Somerville. NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-216 6 (201) 624-4500 (908) 249-760 0 (908) 685-2323 BURLINGTON COUNTY : GLOUCESTER COUNTY: MONMOUTH COUNTY: LEGAL SERVICES Deputy Clerk of the Superi or Cou rt Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (908) 231-0840 Central Processing Office_ Attn : Civil Case Management Office 71 Monument Park, P.O. Box Judicial Intake Ann : Intak e 1262, Court House, \Vest Wing SUSSEX COUNTY : Deputy Clerk of the Superior Court IS Fir. . Court Facility Court House Freehold, NJ 07728-1262 Sussex County Judicial Center 49 Rancocas Road I North Broad St., P .O. Box 129 LAWYER REFERRAL Mt. Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 43-47 High Stree t LAWYER REFERRAL LAWYER REFERRAL LEGAL. SERVICES Nettton. NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-0200 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-0188 (609) 848-5360 MORRIS COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court (201) 383-7400 CAMDEN COUNTY : HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Court Deputy Clerk of the Superi or P .O . Box 91 0 UNION COUNTY: Civil Processing Offic e Court. Superior Court Civil Morristotivn, NJ 07930.0910 Deputy Clerk of the Superior Court i" Fl . hall of Records Records Dept. LAWYER REFERRAL I' Fl., Court House 101 S . Fifth Street Brennan Court House. I' Fl . (201) 267-5882 Broad Street Camden. NJ 08103-4001 583 Ne wark Avenu e LEGAL SERVICES Elizabeth, NJ 07207-6073 LAWYER REFERRAL Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-452 0 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-4340 (201) 798-6363 Court , Cou rt House Room 119 CAPE MAY COUNTY : 118 Washington Street WARREN COUNTY : Deputy Clerk of the Supe ri or Court HUNTERDON COUNTY : Toms River, NJ 08754 Deputy Clerk of the Superior Court 9 N . Main St ., Box DN-20 9 Deputy Clerk of the Supe rior Cou rt LAWYER REFERRAL Civil Division Offic e Cape May Cou rt House . NJ 08210 Civil Division (908) 240-3666 Court House LAWYER REFERRAL 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington , NJ 08822 (908) 341-2727) Belvidere. NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (609) 465-3001 (908) 735-2611 PASSAIC COUNTY : (201) 267-5882 LEGAL SERVICES Deputy Clerk of the Superior (908) 782-7979 Court, Civil Division Court House LEGAL SERVICES 77 Hamilton Street (908) 475-2010 Paterson , NJ 07505 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq. Daniel R. Benson, Esq . Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-170 0

ATTORNEYS FOR PLAINTIFFS

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP., LAW DIVISION: MORRIS COUNTY

Plaintiffs, DOCKET NO. MRS-L-2032- 6

- against -

S.A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S.A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L .P., EXIS INTEGRATED PARTNERS, L.P., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P., COPPER RIVER PARTNERS, L .P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD., MORGAN KEEGAN & COMPANY, INC ., JOHN D . GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants. Steven A. Cohen

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment.

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided. If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided . Dated: /~ P"/Jmj J I- k&~ Superior CourtJerk

Name of Defendant to be Served : Steven A. Cohen Address of the Defendant to be Served: 30 Crown Lane Greenwich, CT 0683 1

* $105.00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES NAGEL RICE & MAZIE, LL P

COUNSELLORS AT LAW

BRUCE H . NAGEL* 103 EISENHOWER PARKWAY COUNSE L HERBERT 1 . WALDMAN* n JAY J . RICE* ROSELAND . NEW JERSEY 07068 WAYNE D . GREENSTONE - DAVID A . MAZIE*t (973) 618-0400 LORI i . MAYE R O ROBERT H . SOLOMON FAX : (973) 618-9194 RANDEE M . MATLOF F ADAM M . SLATER*O www.nrmlaw.com ERIC 0 . KATZ- ANDREW L . O'CONNO R DAVID M . FREEMANA IRINA B . ELGART ° NEW YORK OFFICE STEPHANIE N . NIELSO N DIANE E . SAMMONS- 230 PARK AVENUE MARCO V. CAPASS O

SUITE 100 0 HARRY A . MARGOLIS . NEW YORK 10169 *CERTIFIED BY THE SUPREME COURT O F 11928-2002) NEW YORK NEW JERSEY AS A CIVIL TRIAL ATTORNE Y (212) 551 -1465 (CERTIFIED AS A CIVIL TRIAL SPECIALIS T 0 MEMBER OF N.J . 5 N .Y. BAR S PLEASE REPLY TO BY THE NATIONAL BOARD O F AMEMSER OF N.J . & PA . BARS TRIAL ADVOCAC Y ROSELAND OFFICE -I CERTIFIED BY THE SUPREME COURT O F

NEW JERSEY ABA CRIMINALTRIAL ATTORNEY

August 11, 200 6 VIA REGULAR MAIL AIID CERTIFIED MAIL, RR R Sigma Capital Management, LL C 540 Madison Avenu e New York, NY 1002 2

Re : Fairfax Financial v . S .A .C . Capital Management et . al . Docket No . MRS-L-2032-0 6

Dear Sir/Madam :

Enclosed please find a Summons, Complaint and Jury Demand, and Track Assignment Notice regarding the above referenced matter .

We suggest you immediately turn these papers over to your attorney as your answer is due within 35 days of service .

Very truly yours, a ANDREW L . O'CONNOR N co

0 Bruce H. Nagel, Esq . Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq . Daniel R. Benson, Esq. Michael J . Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFF S

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COUR- OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP.. LAW DIVISION: MORRIS COUNTY

Plaintiffs. DOCKET NO . MRS-L-2032- 6

- against -

S .A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC. S .A.C. CAPITAL ASSOCIATES, LLC, S .A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L .P., EXIS INTEGRATED PARTNERS, L .P ., ADAM D . SENDER, SPYRO CONTOGOURIS . MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P., COPPER RIVER PARTNERS, L.P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC., JOHN D . GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants . Sigma Capital Management, LL C

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit. If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment.

If you cannot afford an attorney, you may call the Legal Services office in the county where you live . A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided.

Dated :

Superior Court Q'ler k

Name of Defendant to be Served: Sigma Capital Management, LLC Address of the Defendant to be Served : 540 Madison Avenu e New York, NY 10022

* $105 .00 FOR CHANCERY DIVISION CASES OR $110.00 FOR LAW DIVISION CASES ATLANTIC COUNTY : CUMBERLAND COUNTY : MERCER COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (201) 345-7171 ) Civil Division, Direct Filing Civil Case Management Office Local Filing Office, Courthouse 1201 Bacharach Blvd., 1' Fir. Broad & Fayette Sts .. P.O. Box 615 175 S. Broad Street. P.O. Box 8068 SALEM COUNTY : Atlantic City, NJ 08401 Bridgeton, NJ 0830 2 Trenton, NJ 0865 0 Deputy Clerk of the Superior Cou rt LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street P.O. Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem, NJ 08079 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-4200 (609) 451-000 3 (609) 695-6249 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY: ESSEX COUNTY: MIDDLESEX COUNTY : (609) 451-0003 Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Case Processing Sectio n 237 Hall of Records Court, Administration Building SOMERSET COUNTY : Room 119 465 Dr . Martin Luther King Jr. 3`a Flr ., 1 Kennedy Square Deputy Clerk of the Superior Cou rt Justice Center, 10 Main St. Blvd. P.O . Box 263 3 Civil Division Offic e Hackensack, NJ 07601-0769 Newark, NJ 07102 New Brunswick, NJ 08903-2633 New Court House. 3° Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL P.O. Box 3000 (201) 488-0044 (201) 622-6207 (908) 828-0053 Some rville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL 0 (201) 487-2166 (201) 624-450 0 (908) 249-760 (908) 685-2323 LEGAL SERVICES BURLINGTON COUNTY : GLOUCESTER COUNTY : MONMOUTH COUNTY : Deputy Clerk of the Superior Court Deputy Clerk of the Superior Cou rt Deputy Clerk of the Supe rior Cou rt (908) 231-084 0 Central Processing Office, Attn : Civil Case M anagement Office 71 Monument Park, P.O . Box SUSSEX COUNTY : Judicial Intak e Attn : Intake V 1262, Cou rt House, West Wing Deputy Clerk of the Superior Court 1' Flr., Court Facility Court Hous e Freehold, NJ 07728-1262 Sussex County Judicial Center 49 Rancocas Road 1 North Broad St., P .O . Box 129 LAWYER REFERRAL 43-47 High Street Mt. Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 Newton, NJ 07860 LAWYER REFERRAL LAWYER REFERRAL LEGAL SERVICES LAWYER REFERRAL (609) 261-4862 (609) 848-4589 (908) 866-020 0 LEGAL, SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-0188 (609) 848-5360 MORRIS COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Cou rt (201) 383-7400 CAMDEN COUNTY: HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Court Deputy Clerk of the Superior P.O. Box 91 0 UNION COUNTY: Civil Processing Offic e Court, Superior Court Civil Morristown ; NJ 07930-0910 Deputy Clerk of the Superior Court I' Fl . Hall of Records Records Dept . LAWYER REFERRAL 1 S Fl ., Court Hous e 101 S. Fifth Street Brennan Cou rt House, I' Fl . (201) 267-5882 Broad Street Camden, NJ 08103-4001 583 Newark Avenu e LEGAL SERVICES Elizabeth, NJ 07207-6073 LAWYER REFERRAL Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-4520 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-4340 (201) 798-6363 Cou rt, Cou rt House Room 119 CAPE MAY COUNTY : 118 Washington Street WARREN COUNTY: Deputy Clerk of the Superior Cou rt HUNTERDON COUNTY : Toms River, NJ 08754 Deputy Clerk of the Superior Court 9 N . Main St., Box DN-20 9 Deputy Clerk of the Superior Court LAWYER REFERRAL Civil Division Office Cape May Court House, NJ 08210 Civil Divisio n (908) 240-3666 Court Hous e LAWYER REFERRAL 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington, NJ 08822 (908) 341-2727 ) Belvidere, NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (908) 735-2611 PASSAIC COUNTY : (609) 465-3001 (201) 267-88 2 Deputy Clerk of the Superior LEGAL SERVICES LEGAL SERVICES (908) 782-7979 Court Civil Division Cou rt House (908) 475-2010 77 Hamilton S treet Paterson . NJ 07505 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-040 0

Marc E . Kasowitz, Esq. Daniel R. Benson, Esq . Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-170 0

ATTORNEYS FOR PLAINTIFFS

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP. , LAW DIVISION: MORRIS COUNT Y

Plaintiffs , DOCKET NO. MRS-L-2032-6

- against -

S .A.C . CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S .A.C. HEALTHCO FUNDS . LLC, SIGMA CAPITAL MANAGEMENT, LLC . STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC ., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L.P., EXIS INTEGRATED PARTNERS, L.P., ADAM D . SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P., COPPER RIVER PARTNERS, L .P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD., MORGAN KEEGAN & COMPANY, INC ., JOHN D . GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants . S.A.C. Healthco Funds, LL C

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625 . A filing fee" payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above. A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment.

If you cannot afford an attorney . you may call the Legal Services office in the county where you live . A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided .

Dated: /io nb ' 1 Superior Co Clerk

Name of Defendant to be Served : S.A.C. Healthco Funds, LLC Address of the Defendant to be Served : 540 Madison Avenue New York, NY 10022

* $105.00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES ATLANTIC COUNTY: CUMBERLAND COUNTY : MERCER COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Cou rt Depu ty Clerk ofthe Superior Court Deputy Clerk of the Superior Court (201) 345-7171 ) Civil Division , Direct Filin g Civil Case Management Office Local Filing Office, Courthouse 1201 Bacharach Blvd., 1s` Flr. Broad & Fayette Sts., P.O. Box 615 175 S . Broad Street P .O. Box 8068 SALEM COUNTY : Atlantic City, NJ 08401 Bridgeton, NJ 08302 Trenton, NJ 08650 Deputy Clerk of the Superior Court LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street, P.O. Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem, NJ 0807 9 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-4200 (609) 451-000 3 (609) 695-624 9 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY : ESSEX COUNTY : MIDDLESEX COUNTY : (609) 451-000 3 Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Case Processing Sectio n 237 Hall of Records Court, Administration Building SOMERSET COUNTY: Room 11 9 465 Dr . Martin Luther King Jr. 3`d Flr., 1 Kennedy Square Deputy Clerk of the Superior Court Justice Center, 10 Main St Blvd . P.O. Box 2633 Civil Division Office Hackensack, NJ 07601-0769 Newark, NJ 07102 New Brunswick, NJ 08903-2633 New Court House ._ 3`d Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL P.O. Box 3000 (201) 488-004 4 (201) 622-6207 (908) 828-0053 Somerville, `J 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-216 6 (201)624-450 0 (908) 249-7600 (908) 685-2323 BURLINGTON COUNTY: GLOUCESTER COUNTY : MONMOUTH COUNTY : LEGAL SERVICES Depu ty Clerk of the Superior Cou rt Deputy Clerk of the Superior Court Deputy Clerk of the Superior Cou rt (908) 231-084 0 Cen tral Processing Office, Attn : Civil Case Management Office 71 Monument Park P.O. Box Judicial Intake Attn : Intake 1262 , Court House, West Wing SUSSEX COUNTY : 1' Flr., Cou rt Facility Court House Freehold, NJ 07728-1262 Deputy Clerk of the Superior Court 49 R ancocas Road 1 North Broad St ., P .O. Box 129 LAWYER REFERRAL Sussex County Judicial Center Mt. Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 43-47 High Stree t LAWYER REFERRAL LAWYER REFERRAL LEGAL SERVICES Newton, NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-020 0 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-018 8 (609) 848-5360 MORRIS COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Cou rt (201) 383-7400 CAMDEN COUNTY : HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior P.O. Box 91 0 UNION COUNTY : Civil Processing Office Court, Superior Court Civil Morristown, NJ 07930-0910 Deputy Clerk of the Superior Court 1' Fl, Hall of Records Records Dept . LAWYER REFERRAL 1 ' Fl., Court House 101 S. Fifth Street Brennan Court House . I ' Fl. (201) 267-5882 Broad Street Camden, NJ 08103-4001 583 Newark Avenu e LEGAL SERVICES Elizabeth, NJ 07207-6073 LAWYER REFERRAL Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-4520 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-434 0 (201) 798-636 3 Court Court House Room 119 CAPE MAY COUNTY : 118 Washington S treet WARREN COUNTY : Deputy Clerk of the Superior Court HUNTERDON COUNTY : Toms River, NJ 08754 Deputy Clerk of the Superior Court 9 N . Main St., Box DN-20 9 Deputy Clerk of the Superior Court LAWYER REFERRAL Civil Division Office Cape May Court House, NJ 08210 Civil Division (908) 240-3666 Court Hous e LAWYER REFERRAL 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington, NJ 08822 (908) 341-2727) Belvidere, NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (609) 465-3001 (908) 735-2611 : PASSAIC COUNTY (201) 267-5882 LEGAL SERVICES Deputy Clerk of the Superior LEGAL SERVICES (908) 782-7979 Court. Civil Division Court House 77 Hamilton Street (908) 475-2010 Paterson, NJ 07505 LAWYER REFERRAL (201) 278-9223 1• '

Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-040 0

Marc E. Kasowitz, Esq . Daniel R. Benson, Esq. Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-170 0

ATTORNEYS FOR PLAINTIFF S

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP .. LAW DIVISION: MORRIS COUNTY

Plaintiffs, DOCKET NO. MRS-L-2032-6

- against -

S .A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S .A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L.P., EXIS INTEGRATED PARTNERS, L .P., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L.P., COPPER RIVER PARTNERS, L .P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD., MORGAN KEEGAN & COMPANY, INC ., JOHN D . GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants. S.A.C. Capital Management, LLC

From the State of New Jersey To the Defendant named above:

The plaintiffs , named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your a ttorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court ofthe county listed above within 35 days from the date you received this summons , not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided.) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk ofthe Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk ofthe Superior Court) must accomp any your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs ' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense.

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment .

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided . Dated: X Superior Co Clerk

Name of Defendant to be Served : S.A.C. Capital Management, LLC Address of the Defendant to be Served: 72 Cummings Point Road Stamford, CT 06902

* $105.00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq. Daniel R. Benson, Esq . Michael J. Bowe, Esq . KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFFS

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP ., LAW DIVISION : MORRIS COUNTY

Plaintiffs, DOCKET NO . MRS-L-2032-6

- against -

S.A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S.A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L.P., EXIS INTEGRATED PARTNERS, L .P., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L.P., COPPER RIVER PARTNERS, L .P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD., MORGAN KEEGAN & COMPANY, INC ., JOHN D. GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants. S.A.C . Capital Associates, LL C

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above , have filed a lawsuit against you in the Superior Court of New Jersey . The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided.) If the complaint is one in foreclosure, then you must file your wri tten answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex , CN-971, Trenton, NJ 08625. A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accomp any your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense.

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit. If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment.

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided. If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided .

Dated: Isi, ~J JPX4yJmJ J ~&-, Superior Co lerk

Name of Defendant to be Served : S.A.C . Capital Associates, LLC Address of the Defendant to be Served : 72 Cummings Point Road Stamford, CT 06902

* $105 .00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq . Daniel R. Benson, Esq. Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFFS

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP ., LAW DIVISION: MORRIS COUNTY

Plaintiffs, DOCKET NO . MRS-L-2032-6

- against -

S.A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S.A.C. CAPITAL ASSOCIATES, LLC, S .A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC ., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L .P., EXIS INTEGRATED PARTNERS, L.P., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L.P., COPPER RIVER PARTNERS, L .P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD., MORGAN KEEGAN & COMPANY, INC., JOHN D. GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants. S.A.C. Capital Advisors, LLC

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided.) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment.

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided. If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided.

Dated:

Superior Co Clerk

Name of Defendant to be Served : S.A.C . Capital Advisors, LLC Address of the Defendant to be Served : 72 Cummings Point Road Stamford, CT 06902

* $105 .00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq . Daniel R. Benson, Esq. Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFF S

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP . , LAW DIVISION: MORRIS COUNTY

Plaintiffs, DOCKET NO . MRS-L-2032-6

- against -

S.A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S.A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC ., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L .P ., EXIS INTEGRATED PARTNERS, L.P., ADAM D . SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P., COPPER RIVER PARTNERS, L .P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC ., JOHN D. GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants . Rocker Partners, L.P.

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, phis interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment .

If you cannot afford an attorney, you may call the Legal Services office in the county where you live . A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided.

Dated: ,1~), , --, a~-,r--&7 Superior Co&t Clerk

Name of Defendant to be Served : Rocker Partners, L .P . Address of the Defendant to be Served: 374 Millburn Avenue, Ste. #205E Millburn, NJ 07041

* $105 .00 FOR CHANCERY DIVISION CASES OR $110.00 FOR LAW DIVISION CASES ATLANTIC COUNTY : CUMBERLAND COUNTY : MERCER COUNTY: LEGAL SERVICES Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (201) 345-7171) Civil Division , Direct Filin g Civil Case Management Office Local Filing Office, Courthouse 1201 Bacharach Blvd ., 15` Flr. Broad & Fayette Sts ., P .O. Box 615 175 S. Broad Street, P .O. Box 8068 SALEM COUNTY : Atlantic City, NJ 08401 Bridgeton, NJ 08302 Trenton, NJ 0865 0 Deputy Clerk of the Superior Cou rt LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Marlc Street , P.O. Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem, NJ 0807 9 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-420 0 (609) 451-0003 (609) 695-6249 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY: ESSEX COUNTY : MIDDLESEX COUNTY: (609) 451-0003 Deputy Clerk of the Superior Court Deputy Cleric of the Superior Cou rt Deputy Cleric of the Superior Case Processing Sectio n 237 Hall of Records Court, Administration Building SOMERSET COUNTY : Room 11 9 465 Dr. Martin Luther King Jr. 3rd Fir., 1 Kennedy Square Deputy Cleric of the Superior Cou rt Justice Center , 10 Main St. Blvd. P.O . Box 263 3 Civil Division Offic e Hackensack , NJ 07601-0769 Newark, NJ 07102 New Brunswick , NJ 08903-2633 New Court House, 3rd Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL P.O . Box 3000 (201) 488-004 4 (201) 622-6207 (908) 828-0053 Some rville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-216 6 (201) 624-450 (908) 249-7600 0 (908) 685-2323 LEGAL SERVICES BURLINGTON COUNTY: GLOUCESTER COUNTY : MONMOUTH COUNTY : Deputy Cleric of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (908) 231-084 0 Central Processing Office, Attn : Civil Case Management Office 71 Monument Park, P .O. Box Judicial Intake Attn : Intake 1262, Court House, West Wing SUSSEX COUNTY: 1" Fir ., Court Facility Court Hous e Freehold, NJ 07728-1262 Deputy Cleric of the Superior Court 49 Rancocas Road 1 North Broad St., P .O. Box 129 LAWYER REFERRAL Sussex County Judicial Center Mt. Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 43-47 High Street LAWYER REFERRAL LAWYER REFERRAL LEGAL SERVICES Newton, NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-0200 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-018 8 (609) 848-536 0 MORRIS COUNTY: LEGAL SERVICES Deputy Clerk of the Superior Court (201) 383-7400 CAMDEN COUNTY: HUDSON COUNTY: Civil Division - Hall of Records Deputy Clerk of the Superior Court Depu ty Clerk of the Superior P.O. Box 91 0 UNION COUNTY : Civil Processing Office Court, Superior Court Civil Morristown, NJ 07930-0910 Deputy Clerk of the Superior Court 1 s` Fl, Hall of Records Records Dept. LAWYER REFERRAL 1s` Fl., Court Hous e 101 S . Fifth Street Brennan Court House, 151 Fl . (201) 267-5882 Broad Stree t Camden, NJ 08103-4001 583 Newark Avenue LEGAL SERVICES Elizabeth , NJ 07207-6073 LAWYER REFERRAL Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-452 0 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-4340 (201) 798-636 3 Court, Court House Room 119 CAPE MAY COUNTY : 118 Washington Street WARREN COUNTY : Deputy Cleric of the Superior Cou rt HUNTERDON COUNTY : Toms River, NJ 08754 Deputy Clerk of the Superior Court 9 N. Main St., Box DN-20 9 Deputy Clerk of the Superior Cou rt LAWYER REFERRAL Civil Division Offic e Cape May Court House, NJ 08210 Civil Divisio n (908) 240-3666 Court Hous e LAWYER REFERRAL 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington, NJ 08822 (908) 341-2727) Belvidere, NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (609) 465-3001 : (908) 735-2611 PASSAIC COUNTY (201) 267-588 2 LEGAL SERVICES Deputy Clerk of the Superior LEGAL SERVICES (908) 782-7979 Court, Civil Division Court House (908) 475-2010 77 Hamilton Street Paterson, NJ 07505 LAWYER REFERRAL (201) 278-9223 K `, 7sq.

MAZIE, LLP arkway rsey 07068 1U

, J CI HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY t S R. HOLDINGS CORP., LAW D ION MORRIS CO UNITY

Plaintiffs, DOCKET NO. 5-L-2032- 6

- against gan fief . Company, Inc.

.fit J rseY D('- ed above:

e and serve a written answer or motion within 3t days, V o you for the reliefplaintiffs demand, Ali i '4, Est cosy a .be st you, the heriffmay s ` e your mo x :: w s or Axo n *fy

N --e to be Served: Morgan Keegan & Company, Inc-. A ,f the ' rat to be Served : c% Corporation Tru Company 820 Bear Tavern Re i West Trenton, I

SES OR $110,00J I OR CHANCERY DIMION CA FOR LAW D ISION CASES 'Ya . " - _ A N COUN s MEACERCOUNTY : LEGAL SUNICES .a -: _,rior Court JDep ty Clerk of the Superior Court Deputy Clerk of the Superior Court 345«7171) Civil C use Management Office Local FilingOffice, Courthouse , _. _.. .. . , :r. Broad & Fayette Sts., P 0. Box 615 175 S. Broad Street, P.O, Box 8068 ; OUNTY' ; ! Bridgeton, NJ 08302 Trenton, NJ 08650 ! rk c the Superior Court LAWYER.REFS LAWYER RFC' 5 0 Pox 18 (609) 692.6207 (609) 585-6200 Sr m LEGAL SERVICES LEGAL SERVICES LAVITYEF L (609) 01-0003 (609) 695 -6249 (609) LEGAL Sr-" V 1 ESSEX COUNTY : M DL X COUNTY- (609)4$1-0( 3 ar Court Deputy Clerk of the Superior Court Deputy Clerk of the Superio r 237 Hall of Records Court, Administration Building 465 Dr. Martin LutherKing Jr. 3'd F1r., 1 Kormody Square at ° prior Court Blvd. P.O, Box 2633 C7 : 9 Newark, NJ 07102 New Brunswick, NJ 08903.2633 LAWYE x%EFERRAL LAWYER REFERIZAL p 0. (201)-2 D7 (908) 828-0053 Sc , N J (18876 LE a.A- 1K sS LEGAL SERVICES 1A W1 L < " , (20") (908) 249-7600 (908) " -!-2323 XZGAL SERVICES GL COUNTY : MONMOUTH COUNTY : Deputy(-lei of the Superior Court Deputy Clerk oftlre SuP'j ori Court (900231- 84 0 At-; Civil Cade : anage ent Office 71 Monument Park, P.O. Box Attn : Intake 1262, Court House, West Win g SUSSEX COt F ' 1 : Court House Freehold NJ 07728-1262 Depot'- U:ari f UE ~ourt I North Broad St., P.O. Box 129 LA WYER REFERRAL S t+ J si c ' t. . Woodbury, NJ 08096 (908)431-5544 'u e L j L LAWYER REFERRAL LEGAL SERVICES l+ NJ 07860 (609) 848-4589 (908) 868-4200 LA I \r' P- Y LEGAL SERVICES (201) 267-53 2 (609) 848 -5360 MORRIS COUNTY- ijiqi? il SERVICES Deputy Clerk of the Superior Court t: I HUDSON COUNTY : Civil Division • Hall of Records or Court Deputy Clerk of the Superior P' O' Box 91 0 Court, Superior Court Civil Morristown , NJ 07930-0910 F f superior Court Records Dept. LAWYER REFERRAL I Brennan Court House, I" Ft . (201) a 1 2 ~#1 583 Newark Avenue L GA?. ;.r VI -6073 aL Jersey City, NJ 07306 (201) 285-6911 W 1 3L LAWYER REFERRAL ta (201) 798-2727 OCEAN COUNTY : 5 LEGAL SERVICES Deputy Clerk of the W a {9 1 3$4-4340 (201) 79M363 Court, Court Hot_- i 119 178 Washington Str t ° r -a ; }4TY : 5 NT N CC OP" r ° Tams River, NJ 0875k Deputy C Superior Court 9 Deputy Clerk or Court L A R . REFER L° MI I .v'_ ._ le s " 108210 Civil Division (908) 240-3666 Court Hou i _ 65 Park Avenuc LEGALSERVICES 413 Second Street Flemington, NJ 08822 (908) 341-2727) Belvidere, NJ 07823-1500 LAWYER REFER F, 1-` (908) 735-2611 PASSAIC L {201) 267-' ,S2 LEGAL SERVICES Deputy Cleric Superi or (908) 782 -7979 Court, Civil Divi on Court House ` ' " 77 HatWlton Street (9{18} 4 Paterson, NJ 07505 LAWYER REFERRAI. (201) 278-9223 Bruce H . Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-040 0

Marc E. Kasowitz, Esq. Daniel R. Benson, Esq. Michael J . Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-170 0

ATTORNEYS FOR PLAINTIFF S

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP .. LAW DIVISION: MORRIS COUNTY

Plaintiffs, DOCKET NO. MRS-L-2032-6

- against -

S .A.C . CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S .A .C . CAPITAL ASSOCIATES, LLC. S.A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC ., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L .P ., EXIS INTEGRATED PARTNERS, L .P ., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P ., COPPER RIVER PARTNERS, L.P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC ., TRINITY FUND, LTD., MORGAN KEEGAN & COMPANY, INC., JOHN D. GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants . Max Bernstein

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit. If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights ; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment.

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided.

Dated:

Superior Cou' Clerk

Name of Defendant to be Served : Max Bernstein Address of the Defendant to be Served : 401 East 34th Street, South 20A New York, N'Y 1001 6

* S 105 .00 FOR CHANCERY DIVISION CASES OR S 110 .00 FOR LAW DIVISION CASES ATLANTIC COUNTY : CUMBERLAND COUNTY : MERCER COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Cou rt (201) 345-7171) Civil Division, Direct Filin g Civil Case Management Office Local Filing Office, Courthouse 1201 Bacharach Blvd., In Flr. Broad & Fayette Sts.; P.O. Box 615 175 S. Broad Street, P .O . Box 8068 SALEM COUNTY: Atlantic City, NJ 08401 Bridgeton, NJ 08302 Trenton, NJ 08650 Deputy Clerk of the Superior Court LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street, P.O. Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem, NJ 08079 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-4200 (609) 451-0003 (609) 695-6249 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY: ESSEX COUNTY: MIDDLESEX COUNTY : (609) 451-0003 Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Case Processing Sectio n 237 Hall of Record s Court, Administration Building SOMERSET COUNTY : Room 11 9 465 Dr. Martin Luther King Jr . 3`d Flr., 1 Kennedy Square Deputy Clerk of the Superior Court Justice Center, 10 Main St. Blvd. P.O. Box 2633 Civil Division Office Hackensack, NJ 07601-0769 Newark, NJ 07102 New Brunswick, NJ 08903-2633 New Court House, 3`d Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL P.O. Box 3000 (201) 488-0044 (201) 622-6207 (908) 828-0053 Somerville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL 0 (201) 487-2166 (201) 624-4500 (908) 249-760 (908) 685-2323 LEGAL SERVICES BURLINGTON COUNTY : GLOUCESTER COUNTY : MONMOUTH COUNTY : (908)231-084 0 Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Cen tral Processing Office, Attn : Civil Case Management Office 71 Monument Park, P.O. Box SUSSEX COUNTY : Judicial Intak e Attn : Intak e 1262, Court House, West Wino Deputy Clerk of the Superior Court I' Flr ., Court Facility Court Hous e Freehold, NJ 07728-1262 49 Rancocas Road 1 North Broad St ., P.O. Box 129 LAWYER REFERRAL Sussex Coun ty Judicial Center 43-47 High S treet Mt. Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 Newton, NJ 07860 LA\VYER REFERRAL LAWYER REFERRA L LEGAL SERVICES (609) 261-4862 (609) 848-4589 (908) 866-0200 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-018 8 (609) 848-5360 MORRIS COUNTY: LEGAL SERVICES Deputy Clerk of the Supe rior Court (201) 383-7400 CAMDEN COUNTY: HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior P.O. Box 91 0 UNION COUNTY: Civil Processing Offic e Court, Superior Court Civil Morristown, NJ 07930-0910 Deputy Clerk of the Superior Court 15` Fl. Hall of Records Records Dept. LAWYER REFERRAL 1' Fl ., Court House 101 S. Fifth Street Brennan Cou rt House, I' Fl . (201) 267-5882 Broad Street Camden, NJ 08103-4001 583 Newark Avenue LEGAL SERVICES Elizabeth, NJ 07207-6073 LAWYER REFERRAL Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-4520 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Supe rior (908) 354-4340 (201) 798-6363 Court Court House Room 119 CAPE MAY COUNTY : 118 Washington Street WARREN COUNTY : Deputy Clerk of the Superior Court IIUNTERDON COUNTY : Toms River, NJ 08754 Deputy Clerk of the Superior Court 9 N . Main St., Box DN-20 9 Deputy Clerk of the Superior Court LAWYER REFERRAL Civil Division Offic e Cape May Court House, NJ 08210 Civil Divisio n (908) 240-3666 Court Hous e LANVYER REFERRAL 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington, NJ 08822 (908) 341-2727) Belvidere. NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL : (609) 465-3001 (908) 735-2611 PASSAIC COUNTY (201) 267-588 2 LEGAL SERVICES Deputy Clerk of the Superior LEGAL SERVICES Court, Civil Division Court House (908) 782-7979 (908)475-2010 77 Hamilton Street Paterson, NJ 07505 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-040 0

Marc E. Kasowitz, Esq. Daniel R . Benson, Esq. Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFFS

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP ., LAW DIVISION : MORRIS COUNT Y

Plaintiffs, DOCKET NO. MRS-L-2032-6

- against -

S.A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S.A.C. CAPITAL ASSOCIATES, LLC, S .A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A . COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L.P., EXIS INTEGRATED PARTNERS, L.P., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L.P., COPPER RIVER PARTNERS, L.P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD., MORGAN KEEGAN & COMPANY, INC., JOHN D . GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES I THROUGH 50, Defendants. Lone Pine Members LLC

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit. If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625. A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed. You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above. A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment.

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided.

Dated: ~"& f e. Superior Court/L Cl A64- Name of Defendant to be Served : Lone Pine Members LLC Address of the Defendant to be Served : 2 Greenwich Plaza, #2 Greenwich, CT 06830

* $105.00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway . Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq. Daniel R. Benson, Esq. Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFFS

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP ., LAW DIVISION : MORRIS COUNTY

Plaintiffs, DOCKET NO . MRS-L-2032-6

- against -

S .A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S .A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A . COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC ., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L.P., EXIS INTEGRATED PARTNERS, L .P., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L.P., COPPER RIVER PARTNERS, L .P., DAVID ROCKER, THIRD POINT LLC, DANIEL S. LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD ., MORGAN. KEEGAN & COMPANY, INC., JOHN 1). GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants. Lone Pine Capital LLC

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior . Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment .

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services- A list of these numbers is also provided .

Dated: /kplyla .0 J A(&e Superior Couklt Clerk

Name of Defendant to be Served: Lone Pine Capital LLC Address of the Defendant to be Served: 2 Greenwich Plaza, #2 Greenwich, CT 06830

* $105.00 FOR CHANCERY DIVISION CASES OR $110.00 FOR LAW DIVISION CASES z

Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973).618-0400

Marc E. Kasowitz, Esq. Daniel R Benson, Esq. Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFF S

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP ., LAW DIVISION : MORRIS COUNTY

Plaintiffs, DOCKET NO. MRS-L-2032-6

- against -

S .A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S .A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A . COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L.P., EXIS INTEGRATED PARTNERS, L.P., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L.P., COPPER RIVER PARTNERS, L.P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC ., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC., JOHN D. GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES I THROUGH 50, Defendants. Lone Pine Associates LLC

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit. If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625. A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed. You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above. A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment.

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services. A list of these numbers is also provided. Dated: . d&bA&qJ_ 14#6 Superior Co Clerk

Name of Defendant to be Served : Lone Pine Associates LLC Address of the Defendant to be Served : 2 Greenwich Plaza, #2 Greenwich, CT 06830

* $105 .00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES Bruce H. Nagel, Esq . Jay J. Rice. Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New .lersey 07068 (973) 618-040 0

Marc E. Kasowitz, Esq. Daniel R. Benson, Esq. Michael J. Bowe, Esq . KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York; New York 1001 9 (212) 506-170 0

ATTORNEYS FOR PLAINTIFFS

FAIRFAXFINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRIJM & FORSTER HOLDINGS CORP., LAW DIVISION: MORRIS COUNTY

Plaintiffs, DOCKET NO. MRS-L-2032-6

- against -

S.A.C. CAPITAL MANAGEMENT, LLC, S.A.C. Civil Action CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S .A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L.P., EXIS INTEGRATED PARTNERS, L.P., ADAM D . SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC . LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P., -_ COPPER RIVER PARTNERS, L:P , DA KC CK.ER - . THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPAN{, INC., JOHN D. GWYNN, CI-IRIISTOPHER. BRETT LAWLESS, and DOES I THROUGH 50, Defendants. John D. Gwynn

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit. If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then yotrmust~fle-your written answer or Griot o and-proof o'f service witty tiie CXerk Druid Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit. If judgment is entered againstyou, the Sheriff may seize your money, wages or property to pay all or part of the judgment.

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided. If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services. A list of these numbers is also provided .

1 4 . Dated:

Superior Court lerk

Name of Defendant to be Served : John D. Gwynn Address of the Defendant to be Served : 2205 Poplar Drive Memphis, TN 38104

$105.00 FOR. CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES .. . ATLANTIC COUNTY: CUMBERLAND COUNTY : MERCER COUNTY: LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (201) 345-7171 ) Civil Division, Direct Filin g Civil Case Management Office Local Filing Office. Courthouse 1201 Bacharuch Blvd., 181 Fir Broad & Fayette Sts,, P.O- Box 615 175 S . Broad Street, P.O. Box 8068 SALEM COUNTY: Atlantic City. NJ 08401, Bridgeton, NJ 0830 2 Trenton, NJ 0865 0 Deputy Clerk of the Superior Court LAWYER . REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street, P.O. Box 18 (609) 345-344 4 (609) 692-6207 (609) 585-6200 Salem, NJ 0807 9 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRA L (609) 348-4200 (609) 451-0003 (609) 695-624 9 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY : . ESSEX COUNTY: MID DLESEX COUNTY : (609) 451-0003 Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Case Processing Section 237 Hall of Records Court, Administration Building SOMERSET COUNTY: 3! Flr 1 Kcnn a4Square_ ... Room 119 46.5-DrJ4wtin Luther KingJr ._ Deputy Clerk of the Superior Court' Justice Center, 10 Main : St Blvd. P.O. Box 263 3 Civil Division Office New Brunswick, NJ 08903-2633 Hackensack, NJ 07601•-0769 Nowurk . NJ 07102 Now Court House, 3`ar1 LAWYER REFERRA L LAWYER REFERRAL LAWYER REFERRAL P.O. Box 3000 (201) 488-0044 (201) 622-62D7 (908) 828-0053 Somerville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487 .2166 (201) 624-4500 (908) 249-7600 (908) 685-2323 BURLINGTON COUNTY: GLOUCESTER COUNTY: MONMOUTH COUNTY : LEGAL SERVICES Deputy Clerk of the Supe rior Court Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior Court (908) 231-0840 Central Processing Office, Attn : Civil Case Management Office 71 Monument Park, P.O . Box Judicial Intake Attn : Intake 1262, Court House, West Wing SUSSEX COUNTY : 1° Fir., Court Facility Court House Freehold, NJ 07728-1262 Deputy Clerk of the Supe rior Cou rt 49 Rancocas Road I North Broad St., P.O. Box 129 LAWYER REFERRAL . Sussex County Judicial Center Mt. Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 43-47 High Street LAWYER REFERRAL. LAWYER REFERRAL. LEGAL SERVICES Newton, NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-0200 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261 -0 188 (609) 848-5360 MORRIS COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court (201) 383-7400 CAMDEN COUNTY : IfUDSON COUNTY: Civil Division - Hall of Records Deputy Clerk of the Superior Court Deputy Clerk of the Superior P.O. Box 91 0 UNION COUNTY: Civil Processing Office ' Court, Superior Court Civil Morristown, NJ 07930-09 10 Deputy Clerk of the Superior Court i" Fl, Hall of Records Records Dept. LAWYER REFERRAL 1"" F1 ., Court Hous e 101 S. Fifth Street Brennan Court House, I ° FI. (204)267-5882 Broad Street Camden, NJ 08103 .400,1 583 Newark Avenue LEGAL SERVICE S Elirabcth, NJ 07207-6073 LAWYER REFERRAL Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-4520 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-434 0 (201) 798-6363 Court. Court House Room 119 CAPE MAY COUNTY: 118 Washington Street WARREN COUNTY : Deputy Clerk of the Superior Cou rt HUNTERDON COUNTY : Toms River, NJ 08754 Deputy Clerk of the Superior Court 9 N . Main St ., Box DN-209 Deputy Clerk of the Superior Cou rt LAWYER REFERRAL Civil Division Office Cape May Court House;NJ 08210 Civil Division (908) 240-366 6 CourtHouse. . --~--. . T AWYER REFERRAL.. - - - 6S Park Avcnu`e -- - - O-W ERVICES 413 Second Street (609) 463 -03)3 Flemington, NJ 08822 (908) 341-2727 ) Belvidere, NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REPER)(M (609) 465-3001 (908) 735.2611 PASSAIC COUNTY : (201) 267-5882 LEGAL SERVICES Deputy Clerk of the Superio r (908) 782-7979 Court, Civil Division Court Hous e LEGAL SERVICES 77 Hamilton Street (908) 475-2010 Paterson, NJ 0750 5 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq. Jay J . Rice, Esq . NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-040 0

Marc E. Kasowitz. Esq. Daniel R. Benson, Esq. Michael J. Bowe, Esq . KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFFS

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP., LAW DIVISION : MORRIS COUNT Y

Plaintiffs, DOCKET NO . MRS-L-2032-6

- acramst -

S.A.C. CAPITAL MANAGEMENT, LLC, S.A.C. Civil Actio n CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S .A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT . LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL. LLC, EXIS DIFFERENTIAL PARTNERS, L .P., EXIS INTEGRATED PARTNERS, L .P., ADAM D . SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC. LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L.P., COPPER RIVER PARTNERS, L.P., DAVID ROCKER, THIRD POINT LLC . DANIEL S. LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC., JOHN D. GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES I THROUGH 50, Defendants . Jeffrey Perry

From the State of New Jersey To the Defendant named above:

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey . The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided.) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625. A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense.

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment.

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided. If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services. A list of these numbers is also provided .

Dated: 6)/o6 / ~/ vSuu~perior Court Clerk

Name of Defendant to be Served: Jeffrey Perry Address of the Defendant to be Served : 9 Wayside Lan e Scarsdale, NY 10583

* $105.00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES ATLANTIC COUNTY : CUMBERLAND COUNTY : MERCER COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superi or Court Deputy Clerk of the Superior Cou rt (201) 345-7171) Civil Division . Direct Filing Civil Case Management Office Local Filing Office , Courthouse 1201 Bacharach Blvd., I' Fir. Broad & Fayette Sts., P.O . Box 615 175 S. Broad Street, P.O. Box 806 8 SALEM COUNTY : Atlantic City, NJ 08401 Bridgeton , NJ 08302 Trenton, NJ 08650 Deputy Clerk of the Superior Court LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street, P:4 . Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem , NJ 08079 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-4200 (609) 451-000 3 (609) 695-624 9 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY : ESSEX COUNTY : MIDDLESEX COUNTY: (609) 451-0003 Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superi or Case Processing Section 237 Hall of Record s Court, Administration Building SOMERSET COUNTY : Room 11 9 465 Dr . Martin Luther King Jr. 3'a Flr ., I Kennedy Square Deputy Clerk of the Superior Cou rt Justice Center, 10 Main St . Blvd . P .O. Box 263 3 Civil Division Offic e Hackensack . NJ 07601-0769 Newark. NJ 07102 New Brunswick. NJ 08903-2633 New Court House, 3id Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL P.O. Box 3000 (201) 488-004 4 (201) 622-6207 (908) 828-0053 Somerville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-2166 (201) 624-4500 (908) 249-7600 (908) 685-2323 LEGAL SERVICES BURLINGTON COUNTY : GLOUCESTER COUNTY : MONMOUTH COUNTY : Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior Court Deputy Clerk of the Superior Cou rt (908) 231-084 0 Central Processing Office, Attn : Civil Case Management Office 71 Monument Park, P.O . Box : Judicial Intake Att n : Intake 1262, Cou rt House, West Wing SUSSEX COUNTY Deputy Clerk of the Superior Court 1 ° Fir. . Court Facili ty Cou rt Hous e Freehold , NJ 07728-1262 49 Rancocas Roa d I Nort h Broad St., P .O . Box 129 LAWYER REFERRAL Sussex County Judicial Center Mt . Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 43-47 High Street Newton, NJ 07860 LAWYER REFERRAL LAWYER REFERRAL LEGAL. SERVICES (609) 261-4862 (609) 848-4589 (908) 866-0200 LAWYER REFERRAL LEGAL. SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-018 8 (609) 848-536 0 MORRIS COUNTY: LEGAL SERVICES Deputy Clerk of the Superior Cou rt (201) 383-7400 CAMDEN COUNTY : HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Cou rt Deputy Clerk of the Supe rior P.O, Box 91 0 UNION COUNTY : Civil Processing Office Court, Superior Court Civil Morristown , NJ 07930-0910 Deputy Clerk of the Superior Court I ° Fl . Hall of Records Records Dept. LAWYER REFERRAL I' Fl .. Court House 101 S . Fifth Street Brennan Cou rt House, I' Fl . (201) 267-588 2 Broad Stree t Camden. NJ 08103-4001 583 Newark Avenue LEGAL SERVICES Elizabeth, NJ 07207-6073 LAWYER REFERRAL . Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-4520 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY: LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-4340 (201) 798-636 3 Court, Court House Room 1 19 CAPE MAY COUNTY : 118 Washington Street WARREN COUNTY : Deputy Clerk of the Superior Cou rt HUNTERDON COUNTY : Toms River, NJ 08754 Deputy Clerk of the Superior Court 9 N . Main St ., Box DN-20 9 Deputy Clerk of the Superior Court LAWYER REFERRAL Civil Division Offic e Cape May Court House , NJ 08210 Civil Division (908) 240-3666 Court House LAWYER REFERRAL 65 Park Avenue LEGAL SERVICES 413 Second Street (609)463-031 3 Flemington, NJ 08822 (908) 341-2727) Belvidere. NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL : (609) 465-3001 (908) 735-2611 PASSAIC COUNTY (201) 267-5882 LEGAL SERVICES Deputy Clerk of the Superior LEGAL SERVICES (908) 782-7979 Court, Civil Division Court House (908) 475-2010 77 Hamilton Stree t Pate rson , NJ 07305 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq. Daniel R. Benson, Esq. Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LL P 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFF S

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP ., LAW DIVISION : MORRIS COUNTY

Plaintiffs, DOCKET NO. MRS-L-2032-6

- against -

S .A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S .A.C . CAPITAL ASSOCIATES, LLC, S.A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L.P., EXIS INTEGRATED PARTNERS, L.P., ADAM D . SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P ., COPPER RIVER PARTNERS, L.P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC ., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC., JOHN D. GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants . Exis Integrated Partners, L .P.

From the State of New Jersey To the Defendant named above:

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Cou rt of the county listed above within 35 days from the date you received this summons , not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided.) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex , CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above. A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense.

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment.

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided. If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided.

Dated:

Superior Court C rk

Name of Defendant to be Served: Exis Integrated Partners, L.P. Address of the Defendant to be Served : 767 Third Avenue New York, NY 1001 7

* $105.00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES VAP

ATLANTIC COUNTY: CUMBERLAND COUNTY : MERCER COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (201) 345-7171) Civil Division, Direct Filin g Civil Case Management Office Local Filing Office, Courthouse 1201 Bacharach Blvd., I' Flr. Broad & Fayette Sts ., P.O. Box 615 175 S. Broad Street, P.O. Box 8068 SALEM COUNTY: Atlantic City, NJ 08401 Bridgeton, NJ 08302 Trenton, NJ 0865 0 Deputy Clerk ofthe Superior Cou rt LAWYER REFERRA L LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street, P.O. Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem, NJ 0807 9 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-420 0 (609) 451-000 3 (609) 695-6249 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY : ESSEX COUNTY : M IDDLESEX COUNTY : (609) 451-0003 Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Case Processing Section 237 Hall of Record s Court, Administration Building SOMERSET COUNTY : Room 119 465 Dr. Martin Luther King Jr . 3rd Fir ., I Kennedy Square Deputy Clerk of the Superior Court Justice Center, 10 Main St . Blvd. P .O. Box 2633 Civil Division Office Hackensack, NJ 07601-0769 Newark, NJ 07102 New Brunswick, NJ 08903-2633 New Court House, 3`d Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRA L P.O. Box 3000 (201) 488-0044 (201) 622-6207 (908) 828-0053 Somerville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-2166 (201) 624-4500 (908) 249-7600 (908) 685-2323 BURLINGTON COUNTY: GLOUCESTER COUNTY : MONMOUTH COUNTY: LEGAL SERVICES Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (908) 231-084 0 Central Processing Office, Attn : Civil Case Management Office 71 Monument Park, P.O. Box Judicial Intak e Attn : Intake 1262, Court House, West Wing SUSSEX COUNTY: 1st F1r., Court Facility Court Hous e Freehold, NJ 07728-1262 Deputy Clerk ofthe Superior Court 49 R ancocas Road I North Broad St., P.O. Box 129 LAWYER REFERRAL Sussex Coun ty Judicial Center Mt. Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 43-47 High Street LAWYER REFERRAL LAWYER REFERRAL LEGAL SERVICES Newton, NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-0200 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-018 8 (609) 848-5360 MORRIS COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court (201) 383-7400 CAMDEN COUNTY: HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Court Deputy Clerk ofthe Superior P.O. Box 91 0 UNION COUNTY: Civil Processing Office Cou rt, Superior Court Civil Morristown , NJ 07930-0910 Deputy Clerk of the Superior Cou rt I' Fl, Hall of Records Records Dept. LAWYER REFERRAL 1" Fl ., Court House 101 S. Fifth Street Brennan Cou rt House, I S` Fl . (201) 267-5882 Broad Street Camden, NJ 08103-4001 583 Newark Avenu e LEGAL SERVICES Elizabeth, NJ 07207-6073 LAWYER REFERRAL Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-452 0 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-2010 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-4340 (201) 798-6363 Court, Court House Room 119 CAPE MAY COUNTY : 118 Washington S treet WARREN COUNTY: Deputy Clerk of the Superior Court HUNTERDON COUNTY: Toms River, NJ 08754 Deputy Clerk ofthe Superior Cou rt 9 N. Main St., Box DN-20 9 Deputy Clerk ofthe Superior Court LAWYER REFERRAL Cape May Court House, NJ 08210 Civil Division Office Civil Division (908) 240-3666 Court House LAWYER REFERRAL 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington , NJ 08822 (908) 341-2727) Belvidere , NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (609) 465-3001 (908) 735-2611 PASSAIC COUNTY : LEGAL SERVICES Deputy Clerk of the Superior (201) 267-588 2 (908) 782-7979 Court, Civil Division Court House LEGAL SERVICES 77 Hamilton Street (908) 475-2010 Paterson, NJ 07505 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq. Daniel R. Benson, Esq. Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFFS

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP.. LAW DIVISION: MORRIS COUNTY

Plaintiffs, DOCKET NO. MRS-L-2032- 6

- against -

S.A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S .A.C . CAPITAL ASSOCIATES, LLC, S.A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L .P ., EXIS INTEGRATED PARTNERS, L .P ., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P., COPPER RIVER PARTNERS, L .P ., DAVID ROCKER, THIRD POINT LLC, DANIEL S. LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC., JOHN D . GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants . Exis Differential Partners, L.P.

From the State of New Jersey To the Defendant named above:

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Cou rt is provided.) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex , CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accomp any your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above. A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense.

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment .

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided . I Dated: OJSU4-d-~ I k&~ Superior Co Clerk

Name of Defendant to be Served: Exis Differential Partners, L.P. Address of the Defendant to be Served 767 Third Avenue New York, NY 1001 7

* $105.00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES ATLANTIC COUNTY : CUMBERLAND COUNTY : MERCER COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior Cou rt (201) 345-7171 ) Civil Division , Direct Filing Civil Case Management Office Local Filing Office, Courthouse 1201 Bacharach Blvd ., 1' Fir. Broad & Fayette Sts., P.O. Box 615 175 S. Broad Street, P .O . Box 8068 SALEM COUNTY : Atlantic City, NJ 08401 Bridgeton, NJ 08302 Trenton, NJ 0865 0 Deputy Clerk of the Superior Court LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street, P .O. Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem, NJ 08079 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-420 0 (609) 451-0003 (609) 695-6249 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY : ESSEX COUNTY: M IDDLESEX COUNTY : (609) 451-0003 Deputy Clerk of the Superior Cou rt Depu ty Clerk of the Superior Court Deputy Clerk of the Superior Case Processing Sectio n 237 Hall of Record s Cou rt, Administration Building SOMERSET COUNTY: Room 11 9 465 Dr . Martin Luther King Jr. 3`d Flr., 1 Kennedy Square Deputy Clerk of the Superior Court Justice Center, 10 Main St. Blvd . P.O . Box 263 3 Civil Division Office Hackensack, NJ 07601-0769 Newark, NJ 07102 New Brunswick, NJ 08903-2633 New Court House, 3`d Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRA L P.O. Box 3000 (201) 488-0044 (201) 622-6207 (908) 828-0053 Somerville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-2166 (201) 624-4500 (908) 249-760 0 (908) 685-2323 BURLINGTON COUNTY : GLOUCESTER COUNTY : MONMOUTH COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (908) 231-0840 Central Processing Office, Attn : Civil Case Management Office 71 Monument Park, P.O. Box Judicial Intake Attn : Intake 1262, Court House, West Wing SUSSEX COUNTY : Is` Flr., Court Facility Court Hous e Freehold, NJ 07728-1262 Deputy Clerk of the Superior Court 49 Rancocas Road 1 North Broad St., P .O. Box 129 LAWYER REFERRA L Sussex County Judicial Center Mt. Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 43-47 High Street LAWYER REFERRAL LAWYER REFERRAL LEGAL SERVICES Newton, NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-020 0 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-018 8 (609) 848-536 0 MORRIS COUNTY : LEGAL SERVICES Deputy Clerk of the Supe rior Court (201) 383-7400 CAMDEN COUNTY: HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Court Deputy Clerk of the Superior P.O . Box 91 0 UNION COUNTY : Civil Processing Offic e Cou rt, Superior Court Civil Morristown , NJ 07930-0910 Deputy Clerk of the Superior Court 15` Fl, Hall of Records Records Dept. LAWYER REFERRAL I` Fl ., Court House 101 S. Fifth Street Brennan Court House, I" Fl . (201) 267-588 2 Broad Street Camden , NJ 08103-4001 583 Newark Avenu e LEGAL SERVICES Elizabeth, NJ 07207-6073 LAWYER REFERRAL Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-452 0 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-4340 (201) 798-6363 Court, Court House Room 119 CAPE MAY COUNTY : 118 Washington Stree t WARREN COUNTY : Deputy Clerk of the Superior Cou rt HUNTERDON COUNTY : Toms River, NJ 08754 Deputy Clerk of the Superior Cou rt 9 N. Main St., Box DN-209 Depu ty Clerk of the Superior Cou rt LAWYER REFERRAL Civil Division Office Cape May Cou rt House, NJ 08210 Civil Divisio n (908) 240-3666 Court House LAWYER REFERRAL 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington , NJ 08822 (908) 341-2727 ) Belvidere, NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (609) 465-3001 (908) 735-2611 PASSAIC COUNTY : (201) 267-588 2 LEGAL SERVICES Deputy Clerk of the Superior LEGAL SERVICES (908) 782-7979 Court, Civil Division Court House 77 Hamilton Street (908) 475-2010 Paterson, NJ 07505 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq. Daniel R. Benson, Esq. Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFFS

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP . , LAW DIVISION : MORRIS COUNTY

Plaintiffs, DOCKET NO. MRS-L-2032-6

- against -

S.A.C . CAPITAL MANAGEMENT, LLC, S .A .C. Civil Action CAPITAL ADVISORS, LLC, S .A.C . CAPITAL ASSOCIATES, LLC, S.A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L .P., EXIS INTEGRATED PARTNERS, L .P., ADAM D . SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P ., COPPER RIVER PARTNERS, L .P ., DAVID ROCKER, THIRD POINT LLC, DANIEL S. LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC., JOHN D. GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants . Exis Capital Management, Inc.

From the State of New Jersey To the Defendant named above:

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint , you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Cou rt of the county listed above within 35 days from the date you received this summons, not counting the date you received it. (The address of each deputy clerk of the Superior Court is provided.) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex , CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Cou rt) must accompany your answer or motion when its filed. You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above. A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense.

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit. If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment .

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided .

Dated :

Superior Court lerk

Name of Defendant to be Served : Exis Capital Management, Inc. Address of the Defendant to be Served : 767 Third Avenue New York, NY 1001 7

* $105.00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES ATLANTIC COUNTY : CUMBERLAND COUNTY : MERCER COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Cou rt (201) 345-7171) Civil Division, Direct Filin g Civil Case Management Office Local Filing Office, Courthouse 1201 Bacharach Blvd., ls' Flr. Broad & Fayette Sts ., P .O. Box 615 175 S . Broad Street, P .O . Box 8068 SALEM COUNTY : Atlantic City, NJ 08401 Bridgeton , NJ 08302 Trenton, NJ 0865 0 Deputy Clerk of the Superior Cou rt LAWYER REFERRA L LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street, P.O. Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem, NJ 08079 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609)348-4200 . (609) 451-000 3 (609) 695-6249 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY : ESSEX COUNTY: M IDDLESEX COUNTY : (609) 451-0003 Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior Cou rt Deputy Clerk of the Supe rior Case Processing Sectio n 237 Hall of Record s Court , Administration Building SOMERSET COUNTY : Room 11 9 465 Dr . Martin Luther King Jr. 3`d Flr., 1 Kennedy Square Deputy Clerk of the Superior Court Justice Center, 10 Main St. Blvd . P.O . Box 263 3 Civil Division Offic e Hackensack, NJ 07601-0769 Newark, NJ 07102 New Brunswick, NJ 08903-2633 New Court House, 3rd Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL P.O. Box 3000 (201) 488-0044 (201) 622-6207 (908) 828-0053 Somerville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-2166 (201) 624-4500 (908) 249-7600 (908) 685-2323 BURLINGTON COUNTY : GLOUCESTER COUNTY : MONMOUTH COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (908) 231-0840 Central Processing Office, Attn: Civil Case Management Office 71 Monument Park, P .O. Box Judicial Intak e Attn : Intake 1262, Court House, West Wing SUSSEX COUNTY: 1' Flr ., Court Facility Court Hous e Freehold, NJ 07728-1262 Depu ty Clerk of the Superior Cou rt 49 Rancocas Road 1 North Broad St ., P .O. Box 129 LAWYER REFERRAL Sussex County Judicial Center Mt. Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 43-47 High Street LAWYER REFERRAL LAWYER REFERRAL LEGAL SERVICES Newton, NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-0200 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-018 8 (609) 848-5360 MORRIS COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court (201) 383-7400 CAMDEN COUNTY: HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior P.O. Box 91 0 UNION COUNTY : Civil Processing Offic e Court, Superior Court Civil Morristown , NJ 07930-0910 Deputy Clerk of the Superior Court 15` Fl, Hall of Records Records Dept. LAWYER REFERRAL 15` Fl ., Court House 101 S. Fifth Street Brennan Court House, V Fl . (201) 267-588 2 Broad Street Camden , NJ 08103-4001 583 Newark Avenue LEGAL SERVICES Elizabeth, NJ 07207-6073 LAWYER REFERRAL Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-4520 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-4340 (201) 798-636 3 Court, Court House Room 119 CAPE MAY COUNTY : 118 Washington Street WARREN COUNTY : Depu Clerk of the Superior Cou ty rt HUNTERDON COUNTY: Toms River, NJ 08754 Depu ty Clerk of the Superior Cou rt 9 N. Main St., Box DN-20 9 Deputy Clerk of the Superior Court LAWYER REFERRAL Civil Division Office Cape May Cou rt House , NJ 08210 Civil Division (908) 240-3666 Court House LAWYER REFERRAL 65 Park Avenue LEGAL SERVICES 413 Second Street (609)463-031 3 Flemington , NJ 08822 (908) 341-2727 ) Belvidere, NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (609) 465-3001 (908) 735-2611 PASSAIC COUNTY: (201) 267-588 2 LEGAL SERVICES Deputy Clerk of the Superior (908) 782-7979 Court, Civil Division Court House LEGAL SERVICES 77 Hamilton Street (908) 475-2010 Paterson, NJ 07505 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq. Daniel R. Benspn, Esq. Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LL P 1633 Broadway New York, New York 10019 (212) 506-170 0

ATTORNEYS FOR PLAINTIFFS

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP . , LAW DIVISION : MORRIS COUNTY

Plaintiffs, DOCKET NO. MRS-L-2032-6

- against -

S .A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S.A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L .P., EXIS INTEGRATED PARTNERS, L.P., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P ., COPPER RIVER PARTNERS, L.P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC., JOHN D. GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants . Exis Capital, LL C

From the State of New Jersey To the Defendant named above:

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit. If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit. If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment .

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided. . Dated: ,3/11tk~j J 4~6- A- / - Superior Court- lerk

Name of Defendant to be Served: Exis Capital, LLC Address of the Defendant to be Served 767 Third Avenue New York, NY 1001 7

* $105 .00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES ATLANTIC COUNTY : CUMBERLAND COUNTY: MERCER COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (201) 345-7171) Civil Division, Direct Filin g Civil Case Management Office Local Filing Office, Courthouse 1201 Bacharach Blvd., 1 " Flr. Broad & Fayette Sts., P.O . Box 615 175 S. Broad Street, P .O. Box 8068 SALEM COUNTY : Atlantic City, NJ 08401 Bridgeton, NJ 08302 Trenton, NJ 0865 0 Deputy Clerk of the Superior Court LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street, P.O. Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem, NJ 0807 9 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-4200 (609) 451-0003 (609) 695-624 9 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY : ESSEX COUNTY : MIDDLESEX COUNTY : (609) 451-0003 Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Case Processing Section 237 Hall of Records Court, Administration Building SOMERSET COUNTY : 9 Room 11 465 Dr. Martin Luther King Jr . 3`d Flr., 1 Kennedy Square Deputy Clerk of the Superior Court Justice Center, 10 Main St. Blvd. P.O. Box 263 3 Civil Division Office Hackensack, NJ 07601-0769 Newark, NJ 07102 New Brunswick, NJ 08903-2633 New Court House, 3`d Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL P.O. Box 3000 (201) 488-004 4 (201) 622-6207 (908) 828-0053 Some rville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-2166 (201) 624-450 0 (908) 249-7600 (908) 685-2323 BURLINGTON COUNTY : GLOUCESTER COUNTY: MONMOUTH COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (908) 231-0840 Central Processing Office, Attn : Civil Case Management Office 71 Monument Park, P .O. Box Judicial Intake Attn : Intake 1262, Court House, West Wing SUSSEX COUNTY: 1st Flr., Court Facility Court House Freehold, NJ 07728-1262 Deputy Clerk of the Superior Cou rt 49 Rancocas Road 1 North Broad St ., P.O. Box 129 LAWYER REFERRAL Sussex County Judicial Center Mt. Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 43-47 High Street LAWYER REFERRAL LAWYER REFERRAL LEGAL SERVICES Newton, NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-0200 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-0188 (609) 848-5360 MORRIS COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court (201) 383-7400 CAMDEN COUNTY: HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior P.O. Box 91 0 UNION COUNTY: Civil Processing Office Cou rt, Superior Court Civil Morristown, NJ 07930-0910 Deputy Clerk of the Superior Court 1 Fl, Hall of Records Records Dept. LAWYER REFERRAL ls' Fl., Court House 101 S. Fifth Street Brennan Cou rt House, 151 Fl . (201) 267-588 2 Broad Street Camden , NJ 08103-4001 583 Newark Avenue LEGAL SERVICES Elizabeth, NJ 07207-6073 LAWYER REFERRAL Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-452 0 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-4340 (201) 798-636 3 Court, Court House Room 119 CAPE MAY COUNTY : 118 Washington Stree t WARREN COUNTY: Deputy Clerk of the Superior Court HUNTERDON COUNTY : Toms River, NJ 08754 Deputy Clerk of the Superior Court 9 N. Main St ., Box DN-209 Deputy Clerk of the Superior Court LAWYER REFERRAL Civil Division Offic e Cape May Court House, NJ 08210 Civil Divisio n (908) 240-3666 Court House LAWYER REFERRAL 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington , NJ 08822 (908) 341-2727) Belvidere, NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (609) 465-3001 (908) 735-2611 PASSAIC COUNTY : (201) 267-588 2 LEGAL SERVICES Deputy Clerk of the Superior LEGAL SERVICES (908) 782-7979 Court, Civil Division Court House 77 Hamilton Street (908) 475-2010 Paterson, NJ 07505 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq. Jay J. Rice, Esq . NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-040 0

Marc E. Kasowitz, Esq . Daniel R. Benson, Esq . Michael J. Bowe, Esq . KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadwa y New York, New York 10019 (212) 506-170 0

ATTORNEYS FOR PLAINTIFF S

------FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP ., LAW DIVISION: MORRIS COUNTY

Plaintiffs, DOCKET NO. MRS-L-2032-6

- against -

S .A.C . CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S.A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC , STEVEN A . COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC ., EXIS CAPITAL, LLC, EXI S DIFFERENTIAL PARTNERS, L.P., EXIS INTEGRATED PARTNERS, L .P., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE P INE ASSOCIATES, LLC, ROCKER PARTNERS, L.P., COPPER RIVER PARTNERS, L.P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC ., JOHN D. GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES I THROUGH 50, Defendants . ------David Rocker

From the State of New Jersey To the Defendant named above :

The plaintiffs , named above, have filed a lawsuit against you in the Superior Cou rt of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons , not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided.) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex , CN-971, Trenton, NJ 08625 . A filing fee * payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed. You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the cou rt to hear your defense.

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit. If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment.

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided. If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided .

Dated : ~/,, / LLAL 6$t Superior Court Clerk

Name of Defendant to be Served : David Rocker Address of the Defendant to be Served : 43 Minnisink Roa d Short Hills, NJ 0707 8

* $105.00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES ATLANTIC COUNTY : CUMBERLAND COUNTY : MERCER COUNTY: LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (201) 345-7171 ) Civil Division, Direct Filin g Civil Case Management Office Local Filing Office, Courthouse 1201 Bacharach Blvd ., I5` Fir. Broad & Fayette Sts ., P .O. Box 615 175 S . Broad Street, P .O. Box 8068 SALEM COUNTY : Atlantic City, NJ 08401 Bridgeton, NJ 0830 2 Trenton, NJ 0865 0 Deputy Clerk of the Superior Court LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street , P.O. Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem , NJ 0807 9 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-4200 (609) 451-000 3 (609) 695-6249 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY : ESSEX COUNTY : MIDDLESEX COUNTY: (609) 451-0003 Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior Court Deputy Clerk of the Superior Case Processing Section 237 Hall of Records Court, Administration Building SOMERSET COUNTY : Room 11 9 465 Dr. Martin Luther King Jr. 3`d Fir ., I Kennedy Square Deputy Clerk of the Superior Court Justice Center, 10 Main St . Blvd . P.O. Box 2633 Civil Division Offic e Hackensack , NJ 07601-0769 Newark, NJ 07102 New Brunswick, NJ 08903-2633 New Court House, 3rd Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRA L P.O. Box 3000 (201) 488-0044 (201) 622-6207 (908) 828-0053 Somerville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-216 6 (201) 624-450 0 (908) 249-760 0 (908) 685-2323 BURLINGTON COUNTY : GLOUCESTER COUNTY : MONMOUTH COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (908) 231-084 0 Central Processing Office, Attn : Civil Case Management Office 71 Monument Park, P .O. Box Judicial Intak e Attn: Intake 1262, Court House, West Wing SUSSEX COUNTY : IS' Fir., Court Facility Cou rt House Freehold, NJ 07728-1262 Deputy Clerk of the Superior Court 49 Rancocas Road I North Broad St., P.O. Box 129 LAWYER REFERRA L Sussex County Judicial Center Mt . Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 43-47 High Street LAWYER REFERRAL LAWYER REFERRA L LEGAL SERVICES Newton, NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-020 0 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-018 8 (609) 848-536 0 MORRIS COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court (201) 383-740 0 CAMDEN COUNTY : HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Court Deputy Clerk of the Superior P.O. Box 91 0 UNION COUNTY : Civil Processing Office Court, Superior Court Civil Morristown, NJ 07930-09 10 Deputy Clerk of the Superior Court I" Fl, Hall of Records Records Dept . LAWYER REFERRAL 15' Fl ., Court Hous e 101 S . Fifth Street Brennan Cou rt House, I" Fl . (201) 267-588 2 Broad Street Camden, NJ 08103-4001 583 Newark Avenu e LEGAL SERVICES Elizabeth, NJ 07207-6073 LAWYER REFERRAL Jersey City , NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-452 0 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-434 0 (201) 798-636 3 Court, Court House Room 119 CAPE MAY COUNTY : 118 Washington Street WARREN COUNTY : Deputy Clerk of the Superior Court HUNTERDON COUNTY : Toms River , NJ 08754 Deputy Clerk of the Superior Court 9 N . Main St ., Box DN-209 Deputy Clerk of the Superior Court LAWYER REFERRAL Civil Division Offic e Cape May Court House, NJ 08210 Civil Division (908) 240-3666 Cou rt House LAWYER REFERRA L 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington, NJ 08822 (908) 341-2727 ) Belvidere, NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (609) 465-3001 (908) 735-2611 : PASSAIC COUNTY (201) 267-588 2 LEGAL SERVICES Deputy Clerk of the Superior LEGAL SERVICES (908) 782-7979 Court, Civil Division Court House (908) 475-2010 77 Hamilton Stree t Paterson , NJ 07505 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq . Jay J. Rice, Esq . NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq . Daniel R. Benson, Esq. Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFFS

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP . . LAW DIVISION : MORRIS COUNTY

Plaintiffs , DOCKET NO . MRS-L-2032-6

- against -

S.A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Actio n CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S .A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A . COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L.P., EXIS INTEGRATED PARTNERS, L.P., ADAM D . SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P., COPPER RIVER PARTNERS, L .P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC ., JOHN D. GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50. Defendants. Daniel S . Loeb

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey . The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625. A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If j udgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment.

If you cannot affbrd an attorney, you may call the Legal Services office in the county where you live . A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services. A list of these numbers is also provided .

Dated:

Superior Court Clerk

Name of Defendant to be Served: Daniel S. Loeb Address ofthe Defendant to be Served: 7 MacDougal Alley, Apt. I New York, NY 1001 1

* $105.00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES ATLANTIC COUNTY : CUMBERLAND COUNTY: MERCER COUNTY: LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Supe ri or Cou rt Deputy Clerk of the Superior Court (201) 345-7171 ) Civil Division . Direct Filin g Civil Case Management Office Local Filing Office, Courthouse 1201 Bacharach Blvd ., I61 Fir. Broad & Fayette Sts., P .O. Box 615 175 S . Broad Street , P.O. Box 806 8 SALEM COUNTY : Atlantic City, NJ 08401 B ridgeton , NJ 08302 Trenton, NJ 08650 Deputy Clerk of the Superi or Court LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street, P .O. Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem, NJ 0807 9 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-4200 (609) 451-0003 (609) 695-624 9 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY ; ESSEX COUNTY : MIDDLESEX COUNTY : (609) 451-000 3 Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Case Processins Sectio n 237 Hall of Records Court, Administration Building SOMERSET COUNTY : Room 11 9 465 Dr. Martin Luther King Jr . Yd Flr., I Kennedy Square Deputy Clerk of the Superior Cou rt Justice Center, 10 Main St. Blvd. P.O . Box 263 3 Civil Division Offic e Hackensack, NJ 07601-0769 Newark, NJ 07102 New Brunswick, NJ 08903-2633 New Cou rt House, Yd F( . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL P.O . Box 3000 (201) 488-004 4 (201) 622-6207 (908) 828-0053 Somerville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-216 6 (201) 624-4500 (908) 249-7600 (908) 685-2323 BURLINGTON COUNTY : GLOUCESTER COUNTY : MONMOUTH COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior Court Deputy Clerk of the Supe ri or Court (908) 231-0840 Central Processing Office . Attn : Civil Case Management Office 71 Monument Park, P .O . Box Judicial Intak e Attn : Intak e 1262, Cou rt House, West Wing SUSSEX COUNTY: I" Fir., Court Facility Court House Freehold , NJ 07728-1262 Deputy Clerk of the Superior Cou rt 49 Rancocas Road I North Broad St.. P.O. Box 129 LAWYER REFERRA L Sussex County Judicial Center Mt . Holly, NJ 08060 Woodbury. NJ 08096 (908) 431-5544 43-47 High Stree t LAWYER REFERRAL LAWYER REFERRAL LEGAL SERVICES Newvton , NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-020 0 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-0188 (609) 848-536 0 MORRIS COUNTY: LEGAL SERVICES Deputy Clerk of the Superi or Cou rt (201) 383-7400 CAMDEN COUNTY : HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Court Deputy Clerk of the Superior P.O . Box 91 0 UNION COUNTY: Civil Processing Offic e Court, Superior Court Civil Morristown, NJ 07930-0910 Deputy Clerk of the Superior Cou rt 1" Fl . Hall of Records Records Dept. LAWYER REFERRAL 1' Fl ., Cou rt House 101 S. Fifth Street Brennan Court House, I" Fl . (201) 267-588 2 Broad Stree t Camden . NJ 08 1 03-4 00 1 583 Newark Avenu e LEGAL SERVICES Elizabeth. NJ 07207-6073 LAWYER REFERRAL Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-4520 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-434 0 (201) 798-6363 Cou rt. Court House Room 119 CAPE MAY COUNTY : 118 Washin gton Stree t WARREN COUNTY : Deputy Clerk of the Superior Court HUNTERDON COUNTY : Toms River, NJ 08754 Deputy Clerk of the Superior Court 9 N . Main St. . Box DN-20 9 Deputy Clerk of the Supe ri or Court LAWYER REFERRAL Civil Division Office Cape May Court House, NJ 08210 Civil Division (908) 240-3666 Court House LAWYER REFERRAL 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington , NJ 08822 (908) 341-2727 ) Belvidere , NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (609) 465-300] (908) 735-2611 PASSAIC COUNTY: (201) 267-5882 LEGAL SERVICES Deputy Clerk of the Superior (908) 782-7979 Court, Civil Division Cou rt House LEGAL SERVICES 77 Hamilton Street (908) 475-2010 Paterson, NJ 07505 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq. Jay J. Rice, Esq . NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq . Daniel R. Benson, Esq. Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-170 0

ATTORNEYS FOR PLA INTIFFS

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP . , LAW DIVISION : MORRIS COUNTY

Plaintiffs, DOCKET NO. MRS-L-2032-6

- against -

S.A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S.A.C . HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L .P., EXIS INTEGRATED PARTNERS, L.P., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P., COPPER RIVER PARTNERS, L .P ., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC ., JOHN D. GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants . Copper River Partners, L .P.

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a w ritten answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided.) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex , CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed. You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights ; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment .

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided.

Dated: Q ,o Superior Court Clerk

Name of Defendant to be Served : Copper River Partners, L.P . Address of the Defendant to be Served: 374 Millburn Avenue, Ste. #205E Millburn, NJ 07041

* $105 .00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES ATLANTIC COUNTY : CUMBERLAND COUNTY : MERCER COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Cleric of the Superior Court (201) 345-7171 ) Civil Division, Direct Filing Civil Case Management Office Local Filing Office, Courthouse 1201 Bacharach Blvd ., 151 Fir. Broad & Fayette Sts ., P .O. Box 615 175 S. Broad Street, P.O. Box 8068 SALEM COUNTY: Atlantic City, NJ 08401 Bridgeton, NJ 0830 2 Trenton, NJ 08650 Deputy Clerk of the Superior Court LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street, P .O. Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem, NJ 0807 9 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-4200 (609) 451-000 3 (609) 695-624 9 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY: ESSEX COUNTY : MIDDLESEX COUNTY : (609) 451-0003 Deputy Clerk of the Superior Court Deputy Cleric of the Superior Court Deputy Cleric of the Superior Case Processing Sectio n 237 Hall of Record s Court, Administration Building SOMERSET COUNTY : Room 11 9 465 Dr . Martin Luther King Jr . 3`d Fir., I Kennedy Square Deputy Clerk of the Superior Court Justice Center , 10 Main St . Blvd . P.O. Box 263 3 Civil Division Office Hackensack , NJ 07601-0769 Newark, NJ 07102 New Brunswick, NJ 08903-2633 New Court House, 3`d Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL P.O. Box 3000 (201) 488-004 4 (201) 622-6207 (908) 828-0053 Somerville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-216 6 (201) 624-450 0 (908) 249-7600 (908) 685-2323 BURLINGTON COUNTY : GLOUCESTER COUNTY : MONMOUTH COUNTY : LEGAL SERVICES Deputy Cleric of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (908) 231-0840 Central Processing Office, Attn : Civil Case Management Office 71 Monument Parlc, P .O. Box Judicial Intake Attn : Intake 1262, Court House, West Wing SUSSEX COUNTY : 15` Flr ., Court Facility Court House Freehold, NJ 07728-1262 Deputy Clerk of the Superior Court 49 Rancocas Road I North Broad St., P.O. Box 129 LAWYER REFERRA L Sussex County Judicial Center Mt. Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 43-47 High Street LAWYER REFERRAL LAWYER REFERRAL LEGAL SERVICES Newton, NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-0200 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-018 8 (609) 848-536 0 MORRIS COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court (201) 383-7400 CAMDEN COUNTY : HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Court Deputy Clerk of the Superior P.O. Box 91 0 UNION COUNTY: Civil Processing Offic e Court, Superior Court Civil Morristown, NJ 07930-0910 Deputy Clerk of the Superior Cou rt 151 Fl, Hall of Records Records Dept . LAWYER REFERRAL 15` Fl ., Court Hous e 101 S . Fifth Street Brennan Court House, IS` Fl . (201) 267-5882 Broad Stree t Camden, NJ 08103-4001 583 Newark Avenu e LEGAL SERVICES Elizabeth, NJ 07207-6073 LAWYER REFERRAL Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-452 0 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY: LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Cleric of the Superior (908) 354-4340 (201) 798-636 3 Court, Court House Room 119 CAPE MAY COUNTY : 118 Washington Stree t WARREN COUNTY : Deputy Cleric of the Superior Court HUNTERDON COUNTY : Toms River, NJ 08754 Deputy Clerk of the Superior Cou rt 9 N. Main St., Box DN-20 9 Deputy Clerk of the Superior Court LAWYER REFERRAL Civil Division Offic e Cape May Court House, NJ 08210 Civil Divisio n (908) 240-3666 Court House LAWYER REFERRA L 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington, NJ 08822 (908) 341-2727) Belvidere, NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (609) 465-3001 (908) 735-2611 PASSAIC COUNTY : (201) 267-588 2 LEGAL SERVICES Deputy Clerk of the Superior LEGAL SERVICES (908) 782-7979 Court, Civil Division Cou rt House (908) 475-2010 77 Hamilton Street Paterson , NJ 07505 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq . Daniel R. Benson, Esq. Michael J. Bowe, Esq. KASOWZTZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFF S

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT 0) NEW JERSEY CRUM & FORSTER HOLDINGS CORP., LAW DIVISION: MOR US COUNTY

Plaintiffs, DOCKET NO. MRS-L- :032-6

- against -

S.A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Acti )n CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S .A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC , STEVEN A. COHEN, EXIS CAPITAL SUMMO is MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L .P., EMS INTEGRATED PARTNERS, L.P., ADAM D . SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P., COPPER RIVER PARTNERS, L.P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC., JOHN D. GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES I THROUGH 50, Defendants . Christopher Brett Lawless

From the State of New Jersey To the Defendant named above:

The pla.intifs, named above, have filed a lawsuit against you in the Superi( r Court of New Jersey. The complaint attached to this summons states the basis for this laws pit. If you dispute this complaint, you or your attorney must file a written answer or motion a td proof of service with the deputy clerk of the Superior Court of the county listed above with a 35 days from the date you received this summons, not counting the date you received it . (' he address of each deputy clerk of the Superior Court is provided .) If the complaint is one in fo] closure, then you must file your written answer or motion and proof of service with the Clerk of the Superior. Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625 . A filing fee* payat e to the Clerk of the Superior Court and a completed Case Information Statement (available fron the deputy clerk of the Superior Court) must accompany your answer or motion when its file( . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and : ddress appear above, or to plaintiffs, if no attorney is named above . A telephone call will not pre tect your rights; you must file and serve a written answer or motion (with fee and complete( Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the ourt may enter a judgment against you for the relief plaintiffs demand, plus interest and cost of the suit . U judgment is entered against you, the Sheriff may seize your money, wages or pry perty to pay all or part of the judgment.

If you cannot afford an attorney, you may call the Legal Services office in 1 le county where you live. A list of these offices is provided . If you do not have an attorney cud are not eligible for free legal assistant, you may obtain a referral to an attorney by calling i no of the Lawyer Referral Services . A list of these numbers is also provided.

Dated:

Superior Court Clerk

Name of Defendant to be Served : Christopher Brett Lawless Address of the Defendant to be Served : 860 Old Chester Road Far Hills, NJ 0793 1

* $105 .00 FOR CHANCERY DIVISION CASES OR $110.00 FOR LAW DIVIS] )N CASES Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq. Daniel R. Benson, Esq. Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFFS

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP . , LAW DIVISION : MORRIS COUNTY

Plaintiffs, DOCKET NO . MRS-L-2032-6

- against -

S .A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S .A.C . CAPITAL ASSOCIATES, LLC, S .A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L .P ., EXIS INTEGRATED PARTNERS, L .P ., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P., COPPER RIVER PARTNERS, L .P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC., JOHN D. GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants . Andrew Helle r

From the State of New Jersey To the Defendant named above:

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Cou rt of the county listed above within 35 days from the date you received this summons, not counting the date you received it. (The address of each deputy clerk of the Superior Cou rt is provided.) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex , CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed. You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above. A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment .

If you cannot afford an attorney, you may call the Legal Services office in the county where you live . A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided . Dated: ~~5~&94j ~V~& Superior Co lerk

Name of Defendant to be Served: Andrew Helle r Address of the Defendant to be Served : 176 E. 77th Street, Apt. # 4B New York, NY 1002 1

* $105.00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES ATLANTIC COUNTY : CUMBERLAND COUNTY: MERCER COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior Court (201) 345-7171) Civil Division, Direct Filing Civil Case M anagement Office Local Filing Office, Cou rthouse 1201 Bacharach Blvd ., In Flr . Broad & Faye tte Sts., P .O. Box 615 175 S. Broad Street, P .O. Box 8068 SALEM COUNTY : Atlantic City, NJ 08401 Bridgeton , NJ 0830 2 Trenton, NJ 0865 0 Deputy Clerk of the Superior Cou rt LAWYER REFERRA L LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street, P.O. Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem, NJ 08079 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-4200 (609) 451-0003 (609) 695-624 9 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY : ESSEX COUNTY : MIDDLESEX COUNTY : (609) 451-0003 Deputy Clerk of the Superior Court Depu ty Clerk of the Superior Cou rt Deputy Clerk of the Superior Case Processing Sectio n 237 Hall of Record s Court, Administration Building SOMERSET COUNTY : Room 11 9 465 Dr . Martin Luther King Jr . 3`d Flr., 1 Kennedy Squ are Deputy Clerk of the Superior Cou Justice Center, 10 Main St. Blvd rt . P.O . Box 263 3 Civil Division Office Hackensack, NJ 07601-0769 New ar k, NJ 07102 New Brunswick, NJ 08903-2633 New Cou rt House , 3`d Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL P.O. Box 3000 (201) 488-004 4 (201) 622-6207 (908) 828-0053 Some rville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-2166 (201) 624-4500 (908) 249-7600 (908) 685-2323 BURLINGTON COUNTY : GLOUCESTER COUNTY : MONMOUTH COUNTY : LEGAL SERVICES Deputy Clerk ofthe Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (908) 231-0840 Central Processing Office, Attn : Civil Case Management Office 71 Monument Park, P .O. Box Judicial Intake Attn : Intake 1262, Court House, West Wing SUSSEX COUNTY : Pt Flr., Court Facility Court House Freehold, NJ 07728-1262 Deputy Clerk of the Superior Court 49 R ancocas Road I North Broad St ., P .O. Box 129 LAWYER REFERRAL Sussex County Judicial Center Mt. Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 43-47 High Street LAWYER REFERRAL LAWYER REFERRAL LEGAL SERVICES Newton, NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-020 0 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-0188 (609) 848-5360 MORRIS COUNTY: LEGAL SERVICES Deputy Clerk of the Superior Court (201) 383-740 0 CAMDEN COUNTY: HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Court Deputy Clerk of the Superior P.O. Box 91 0 UNION COUNTY : Civil Processing Office Court, Superior Court Civil Morristown, NJ 07930-0910 Deputy Clerk of the Superior Court 1' Fl, Hall of Records Records Dept. LAWYER REFERRAL 15` Fl., Court House 101 S . Fifth Street Brenn an Court House, 151 Fl . (201) 267-588 2 Broad Stree t Camden, NJ 08103-4001 583 Newark Avenu e LEGAL SERVICES Elizabeth, NJ 07207-6073 LAWYER REFERRAL Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-452 0 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-434 0 (201) 798-6363 Court, Court House Room 119 CAPE MAY COUNTY : 118 Washington Street WARREN COUNTY : Deputy Clerk of the Superior Court HUNTERDON COUNTY : Toms River, NJ 08754 Deputy Clerk of the Superior Court 9 N. Main St., Box DN-209 Deputy Clerk of the Superior Court LAWYER REFERRAL Civil Division Offic e Cape May Cou rt House, NJ 08210 Civil Divisio n (908) 240-3666 Court House LAWYER REFERRAL 65 P ark Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington, NJ 08822 (908) 341-2727) Belvidere, NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (609) 465-3001 (908) 735-2611 PASSAIC COUNTY: LEGAL SERVICES Deputy Clerk of the Superior (201) 267-588 2 (908) 782-7979 Court, Civil Division Court House LEGAL SERVICES 77 Hamilton Street (908) 475-2010 Paterson, NJ 07505 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq . Daniel R. Benson, Esq. Michael J. Bowe, Esq . KASOWITZ, BENSON, TORRES & FRIEDMAN LL P 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFF S

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP .. LAW DIVISION : MORRIS COUNTY

Plaintiffs, DOCKET NO . MRS-L-2032- 6

- against -

S .A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S .A.C . CAPITAL ASSOCIATES, LLC, S .A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT ; LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L.P., EXIS INTEGRATED PARTNERS, L .P., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P., COPPER RIVER PARTNERS, L .P., DAVID ROCKER, THIRD. POINT LLC, DANIEL S. LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC ., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC ., JOHN D. GWYNN. CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants . Adam D . Sender

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey . The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed. You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above. A telephone call will not protect your rights ; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment.

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant. you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided .

Dated:

Superior Court lerk

Name of Defendant to be Served: Adam D. Sender Address of the Defendant to be Served : 109 Greene Street, Apt. 4B New York, NY 1001 2

* $105 .00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES ATLANTIC COUNTY : CUMBERLAND COUNTY : MERCER COUNTY: LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk ofthe Superior Court (201) 345-7171 ) Civil Division, Direct Filin g Civil Case Management Office Local Filing Office, Courthouse 1201 Bacharach Blvd., I' Fir. Broad & Fayette Sts ., P.O. Box 615 175 S . Broad Street, P.O. Box 8068 SALEM COUNTY : Atlantic City, NJ 08401 Bridgeton, NJ 08302 Trenton, NJ 0865 0 Deputy Clerk of the Superior Court LAWYER REFERRA L LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street. P.O. Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem, NJ 08079 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-420 0 (609) 451-0003 (609) 695-624 9 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY : ESSEX COUNTY : M IDDLESEX COUNTY : (609) 451-0003 Deputy Clerk of the Superior Court Deputy Clerk of the Supe rior Cou rt Deputy Clerk of the Superior Case Processing Sectio n 237 Hall of Record s Court, Administration Building SOMERSET COUNTY : Room 119 465 Dr. Martin Luther King Jr. 3`d Fir., 1 Kennedy Square Deputy Clerk of the Superior Court Justice Center, 10 Main St. Blvd . P.O. Box 2633 Civil Division Offic e Hackensack, NJ 07601-0769 Newark, NJ 07102 New Brunswick , NJ 08903-2633 New Court House, 3`d Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL P.O. Box 3000 (201) 488-0044 (201) 622-6207 (908) 828-0053 Somerville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-2166 (201) 624-450 0 (908) 249-760 0 (908) 685-2323 BURLINGTON COUNTY : GLOUCESTER COUNTY : MONMOUTH COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Cou rt Depu ty Clerk of the Superior Court (908) 231-0840 Central Processing Office, Attn : Civil Case Management Office 71 Monument Park, P .O . Box Judicial Intak e Attn: Intak e 1262, Court House, West Wing SUSSEX COUNTY : V Fir., Court Facility Court House Freehold, NJ 07728-1262 Deputy Clerk of the Superior Court 49 R ancocas Road I North Broad St., P .O. Box 129 LAWYER REFERRAL Sussex County Judicial Center Mt. Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 43-47 High Street LAWYER REFERRAL LAWYER REFERRA L LEGAL SERVICES Newton . NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-020 0 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-018 8 (609) 848-5360 MORRIS COUNTY : LEGAL SERVICES Deputy Clerk of the Supe rior Court (201) 383-740 0 CAMDEN COUNTY : HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Supe rior Court Depu ty Clerk of the Superior P.O . Box 91 0 UNION COUNTY: Civil Processing Office Court, Superior Court Civil Morristown, NJ 07930-0910 Deputy Clerk of the Superior Court I" Fl . Hall of Records Records Dept . LAWYER REFERRAL 1c Fl ., Cou rt Hous e 101 S. Fifth Street Brenn an Court House, I' Fl . (201) 267-588 2 Broad Street Camden, NJ 08103-4001 583 Newark Avenu e LEGAL SERVICES Elizabeth, NJ 07207-6073 LAWYER REFERRAL Jersey City , NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-452 0 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-434 0 (201) 798-636 3 Court Court House Room 119 CAPE MAY COUNTY: 118 Washington Street WARREN COUNTY : Deputy Clerk of the Supe rior Court HUNTERDON COUNTY : Toms River, NJ 08754 Deputy Clerk of the Superior Court 9 N . Main St ., Box DN-209 Deputy Clerk of the Superior Court LAWYER REFERRAL Civil Division Office Cape May Court House, NJ 08210 Civil Divisio n (908) 240-3666 Court House LAWYER REFERRAL 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington, NJ 08822 (908) 341-2727 ) Belvidere, NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (609) 465-3001 (908) 735-2611 PASSAIC COUNTY : (201) 267-588 2 LEGAL SERVICES Deputy Clerk of the Superior LEGAL SERVICES (908) 782-7979 Court, Civil Division Cou rt House 77 Hamilton Street (908) 475-2010 Paterson , NJ 07505 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-040 0

Marc E. Kasowitz, Esq. Daniel R. Benson, Esq . Michael J. Bowe, Esq . KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 100 19 (212) 506-170 0

ATTORNEYS FOR PLAINTIFFS

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP. , LAW DIVISION: MORRIS COUNT Y

Plaintiffs, DOCKET NO. MRS-L-2032-6

- against -

S.A.C. CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S.A .C. CAPITAL ASSOCIATES, LLC, S.A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L.P., EXIS INTEGRATED PARTNERS, L .P., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P., COPPER RIVER PARTNERS, L .P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD., MORGAN KEEGAN & COMPANY, INC ., JOHN D . GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants. Trinity Fund, Ltd .

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 35 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed. You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment.

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided. If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided. Dated: ,x1JJSdJ,t,U I- Z6~~_, Superior Court lerk

Name of Defendant to be Served : Trinity Fund, Ltd. Address of the Defendant to be Served : 1819 Goodwin Street Jacksonville, FL 32204

* $105.00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES ATLANTIC COUNTY: CUMBERLAND COUNTY: MERCER COUNTY : LEGAL SERVICES Deputy Clerk of the Supe rior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Cou rt (201) 345-7171 ) Civil Division, Direct Filin g Civil Case Management Office Local Filing Office, Courthouse 1201 Bacharach Blvd ., In Flr. Broad & Fayette Sts ., P .O. Box 615 175 S . Broad Street, P.O. Box 8068 SALEM COUNTY: Atlantic City, NJ 08401 Bridgeton, NJ 08302 Trenton, NJ 0865 0 Deputy Clerk ofthe Superior Court LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street, P .O . Box 18 (609) 345-344 4 (609) 692-6207 (609) 585-6200 Salem, NJ 0807 9 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-4200 (609) 451-0003 (609) 695-624 9 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY : ESSEX COUNTY: MIDDLESEX COUNTY : (609) 451-0003 Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Case Processing Section 237 Hall of Records Court, Administration Building SOMERSET COUNTY: Room 11 9 465 Dr. Martin Luther King Jr . 3`d Fir., 1 Kennedy Square Deputy Clerk of the Superior Court Justice Center, 10 Main St . Blvd. P.O. Box 2633 Civil Division Offic e Hackensack, NJ 07601-0769 Newark, NJ 07102 New Brunswick, NJ 08903-2633 New Court House, 3d Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL P.O. Box 3000 (201) 488-0044 (201) 622-6207 (908) 828-0053 Somerville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-2166 (201) 624-450 0 0 (908) 249-760 (908) 685-2323 BURLINGTON COUNTY : GLOUCESTER COUNTY : MONMOUTH COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Cou rt Depu ty Clerk of the Superior Cou rt Deputy Clerk of the Superior Court (908) 231-0840 Central Processing Office, Attn : Civil Case Management Office 71 Monument Park, P.O. Box Judicial Intake Attn: Intake 1262, Court House, West Wing SUSSEX COUNTY: In Fir., Court Facility Court House Freehold, NJ 07728-1262 Deputy Clerk of the Superior Court 49 Rancocas Road I North Broad St., P .O. Box 129 LAWYER REFERRAL Sussex County Judicial Center Mt. Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 43-47 High Street LAWYER REFERRAL LAWYER REFERRA L LEGAL SERVICES Newton, NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-020 0 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-018 8 (609) 848-536 0 MORRIS COUNTY : LEGAL SERVICES Deputy Clerk ofthe Superior. Court (201) 383-7400 CAMDEN COUNTY : HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk ofthe Superior Court Deputy Clerk of the Superior P.O. Box 91 0 UNION COUNTY : Civil Processing Office Court, Superior Court Civil Morristown, NJ 07930-0910 Deputy Clerk of the Superior Court I" Fi, Hall of Records Records Dept. LAWYER REFERRAL I' Fl., Court House 101 S. Fifth Street Brennan Court House, 1 ' Fl. (201) 267-5882 Broad Stree t Camden. NJ 08103-4001 583 Newark Avenue LEGAL SERVICES Elizabeth, NJ 07207-6073 LAWYER REFERRAL Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-452 0 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY: LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk ofthe Superior (908) 354-4340 (201) 798-6363 Court, Court House Room 119 CAPE MAY COUNTY : 118 Washington Street WARREN COUNTY : Depu ty Clerk of the Superior Cou rt HUNTERDON COUNTY: Toms River, NJ 08754 Deputy Clerk of the Superior Court 9 N . Main St., Box DN-209 Deputy Clerk of the Superior Court LAWYER REFERRAL Civil Division Office Cape May Court House, NJ 08210 Civil Division (908) 240-3666 Court Hous e LAWYER REFERRAL 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington, NJ 08822 (908) 341-2727 ) Belvidere, NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (609) 465-3001 (908) 735-2611 PASSAIC COUNTY : (201) 267-588 2 LEGAL SERVICES Deputy Clerk of the Superior LEGAL SERVICES (908) 782-7979 Court, Civil Division Cou rt House (908) 475-2010 77 Hamilton Street Paterson , NJ 07505 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq . Daniel R. Benson, Esq. Michael J. Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFF S

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP . . LAW DIVISION : MORRIS COUNTY

Plaintiffs, DOCKET NO. MRS-L-2032-6

- against -

S .A.C . CAPITAL MANAGEMENT, LLC, S .A.C . Civil Action CAPITAL ADVISORS, LLC, S .A.C . CAPITAL ASSOCIATES, LLC, S.A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT. INC ., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L .P., EXIS INTEGRATED PARTNERS, L.P., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P ., COPPER RIVER PARTNERS, L .P ., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY. TRINITY CAPITAL OF JACKSONVILLE, INC ., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC.. JOHN D . GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants . Spyro Contogouris

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 3 5 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights ; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 3 5 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment .

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided .

Dated:

Superior Court Clerk

Name of Defendant to be Served: Spyro Contogouris Address of the Defendant to be Served : 12 East 78th Street, Apt . 2 New York, NY 1002 1

$105 .00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES ATLANTIC COUNTY : CUMBERLAND COUNTY : MERCER COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Cou rt (201) 345-7171 ) Civil Division . Direct Filin g Civil Case Management Office Local Filing Office, Courthouse 1201 Bacharach Blvd ., IS` Flr . Broad & Fayette Sts .. P.O. Box 615 175 S. Broad Street, P.O . Box 8068 SALEM COUNTY : Atlantic City, NJ 08401 Bridgeton, NJ 08302 Trenton, NJ 0865 0 Deputy Clerk of the Superior Cou rt LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street, P.O. Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem. NJ 0807 9 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-4200 (609) 451-000 3 (609) 695-6249 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY : ESSEX COUNTY : MIDDLESEX COUNTY : (609) 451-0003 Deputy Clerk of the Superior Court Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior n Case Processing Sectio 237 Hall of Record s Court, Administration Building SOMERSET COUNTY : Room 11 9 465 Dr. Martin Luther Kina Jr. 3`d Flr., 1 Kennedy Square Deputy Clerk of the Superior Cou rt Justice Center, 10 Main St. Blvd . P.O. Box 263 3 Civil Division Offic e Hackensack , NJ 07601-0769 Newark, NJ 07102 New Brunswick . NJ 08903-2633 New Court House, 3`d Fl . LAWYER REFERRAL LAWYER REFERRAL. LAWYER REFERRAL P.O . Box 3000 (201) 488-004 4 (201) 622-6207 (908) 828-0053 Some rville , NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-216 6 (201) 624-450 0 (908) 249-760 0 (908) 685-2323 BURLINGTON COUNTY : GLOUCESTER COUNTY : MONMOUTH COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (908) 231-0840 Central Processing Office. Attn: Civil Case Management Office 71 Monument Park . P.O. Box Judicial Intake A ttn : Intak e 1262, Court House. West Wing SUSSEX COUNTY : 1' Flr .. Court Facility Court House Freehold, NJ 07728-1262 Deputy Clerk of the Superior Court 49 Rancocas Road I North Broad St .. P .O. Box 129 LAWYER REFERRAL Sussex County Judicial Center Mt. Holly, NJ 08060 Woodburv . NJ 08096 (908) 431-5544 43-47 High Street LAWYER REFERRAL LAWYER REFERRAL LEGAL SERVICES Newton. NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-020 0 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-018 8 (609) 848-5360 MORRIS COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court (201) 383-7400 CAMDEN COUNTY: HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior P.O. Box 91 0 UNION COUNTY : Civil Processing Offic e Court, Superior Court Civil Morristown, NJ 07930-0910 Deputy Clerk of the Superior Court 1 S` Fl. Hall of Records Records Dept. LAWYER REFERRAL 1 s` Fl ., Court Hous e 101 S. Fifth Street Bre nnan Cou rt House, In Fl . (201) 267-588 2 Broad Stree t Camden, NJ 08103-4001 583 Newark Avenue LEGAL SERVICES Elizabeth, NJ 07207-6073 LAWYER REFERRAL Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-4520 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908)354-4340 (201) 798-636 3 Court, Court House Room 119 CAPE MAY COUNTY : 118 Washington Stree t WARREN COUNTY : Deputy Clerk of the Superior Cou rt HUNTERDON COUNTY Toms River, NJ 08754 : Deputy Clerk of the Superior Cou rt 9 N . Main St., Box DN-20 9 Deputy Clerk of the Superior Cou rt LAWYER REFERRAL Civil Division Office Cape May Cou House, NTJ 08210 rt Civil Division (908) 240-3666 Court Hous e LAWYER REFERRA L 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington , NJ 08822 (908) 341-2727) Belvidere, NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (609) 465-3001 (908) 735-2611 PASSAIC COUNTY : (201) 267-5882 LEGAL SERVICES Deputy Clerk of the Superior (908) 782-7979 Court. Civil Division Court House LEGAL SERVICES 77 Hamilton Street (908) 475-2010 Paterson , NJ 07505 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq . Daniel R. Benson, Esq. Michael J . Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LL P 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFFS

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP. . LAW DIVISION : MORRIS COUNTY

Plaintiffs, DOCKET NO. MRS-L-2032-6

- against -

S .A.C . CAPITAL MANAGEMENT, LLC, S .A.C. Civil Action CAPITAL ADVISORS, LLC, S .A.C . CAPITAL ASSOCIATES, LLC, S.A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L .P ., EXIS INTEGRATED PARTNERS, L.P ., ADAM D . SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P., COPPER RIVER PARTNERS, L .P., DAVID ROCKER, THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC., JOHN D. GWYNN. CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants . Third Point LLC

From the State of New Jersey To the Defendant named above:

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 3 5 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights, you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 3 5 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment .

If you cannot afford an attorney, you may call the Legal Services office in the county where you live. A list of these offices is provided. If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided .

Dated: U 1 f'

Superior Court Clerk

Name of Defendant to be Served : Third Point LLC Address of the Defendant to be Served : 390 Park Avenue, #1 8 New York. NY 10022

$105 .00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES ATLANTIC COUNTY : CUMBERLAND COUNTY : MERCER COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Cou rt (201) 345-7171 ) Civil Division . Direct Filin g Civil Case Management Office Local Filing Office, Cou rthouse 1201 Bacharach Blvd .. V Flr. Broad & Fayette Sts.. P.O . Box 615 175 S. Broad Street, P.O . Box 8068 SALEM COUNTY : Atlantic City, NJ 08401 Bridgeton, NJ 08302 Trenton . NJ 0865 0 Deputy Clerk of the Superior Cou rt LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street. P.O. Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem. NJ 0807 9 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-420 0 (609) 451-0003 (609) 695-624 9 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY : ESSEX COUNTY : MIDDLESEX COUNTY : (609) 451-0003 Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Case Processing Section 237 Hall of Record s Court. Administration Building SOMERSET COUNTY : Room 119 y 465 Dr. Martin Luther King Jr. 3`d Flr., I Kennedy Square Deputy Clerk of the Superior Cou rt Justice Center, 10 Main St . Blvd . P.O. Box 263 3 Civil Division Offic e Hackensack , NJ 07601-0769 Newark, NJ 07102 New Brunswick, NJ 08903-2633 New Court House, 3`d Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRA L P.O . Box 3000 (201) 488-0044 (201) 622-6207 (908) 828-0053 Somerville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-216 6 (201) 624-450 0 (908) 249-760 0 (908) 685-2323 BURLINGTON COUNTY : GLOUCESTER COUNTY : MONMOUTH COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (908) 231-084 0 Central Processing Office, Attn : Civil Case Management Office 71 Monument Park, P.O. Box Judicial Intak e Attn : Intake y 1262, Court House, West Wing SUSSEX COUNTY : 15t Flr., Court Facility Court House Freehold, NJ 07728-1262 Deputy Clerk of the Superior Court 49 Rancocas Road I North Broad St .. P.O. Box 129 LAWYER REFERRAL Sussex County Judicial Center Mt. Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 43-47 High Stree t LAWYER REFERRAL LAWYER REFERRAL LEGAL SERVICES Newton. NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-0200 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-018 8 (609) 848-536 0 MORRIS COUNTY: LEGAL SERVICES Deputy Clerk of the Superior Court (201) 383-740 0 CAMDEN COUNTY: HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Court Deputy Clerk of the Superior P.O. Box 91 0 UNION COUNTY: Civil Processing Offic e Court, Superior Court Civil Morristown, NJ 07930-0910 Deputy Clerk of the Superior Court 15t F1, Hall of Records Records Dept . LAWYER REFERRAL 15t Fl ., Cou rt House 101 S. Fifth S treet Brennan Court House, I" Fl. (201) 267-588 2 Broad Stree t Camden, NJ 08103-4001 583 Newark Avenu e LEGAL SERVICES Elizabeth , NJ 07207-6073 LAWYER REFERRAL Jersey City, NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-452 0 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-434 0 (201) 798-636 3 Court, Court House Room 119 CAPE MAY COUNTY : 118 Washington Stree t WARREN COUNTY : Deputy Clerk of the Superior Court HUNTERDON COUNTY : Toms River. NJ 08754 Deputy Clerk of the Superior Cou rt 9 N. Main St.. Box DN-20 9 Deputy Clerk of the Superior Cou rt LAWYER REFERRAL Civil Division Office Cape May Cou rt House , NJ 08210 Civil Division (908) 240-3666 Court House LAWYER REFERRA L 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington , NJ 08822 (908) 341-2727 ) Belvidere . NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (609) 465-3001 (908) 735-2611 PASSAIC COUNTY : (201) 267-5882 LEGAL SERVICES Deputy Clerk of the Superior LEGAL SERVICES (908) 782-7979 Court, Civil Division Court House 77 Hamilton Stree t (908) 475-2010 Paterson, NJ 07505 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel, Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973)618-0400

Marc E. Kasowitz, Esq . Daniel R. Benson, Esq. Michael J . Bowe, Esq. KASOWITZ, BENSON, TORRES & FRIEDMAN LLP 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFFS

FAIRFAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP . . LAW DIVISION : MORRIS COUNTY

Plaintiffs, DOCKET NO . MRS-L-2032- 6

- against -

S.A.C . CAPITAL MANAGEMENT, LLC, S .A.C . Civil Action CAPITAL ADVISORS . LLC, S.A.C . CAPITAL ASSOCIATES, LLC, S.A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC ., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS . L.P., EXIS INTEGRATED PARTNERS, L.P., ADAM D. SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L .P., COPPER RIVER PARTNERS, L .P., DAVID ROCKER, THIRD POINT LLC, DANIEL S. LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC ., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC., JOHN D . GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants . Daniel S . Loeb

From the State of New Jersey To the Defendant named above :

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 3 5 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton. NJ 08625. A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 3 5 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment .

If you cannot afford an attorney, you may call the Legal Services office in the county where you live . A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney by calling one of the Lawyer Referral Services . A list of these numbers is also provided .

Dated :

F

-f J Superior Court Clerk

Name of Defendant to be Served: Daniel S . Loeb Address of the Defendant to be Served : 7 MacDougal Alley, Apt. 1 New York, NY 1001 1

* $105 .00 FOR CHANCERY DIVISION CASES OR $110.00 FOR LAW DIVISION CASES ATLANTIC COUNTY : CUMBERLAND COUNTY : MERCER COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Cou rt (201) 345-7171 ) Civil Division . Direct Filin g Civil Case Management Office Local Filing Office, Cou rthouse 1201 Bacharach Blvd.. IS` Fir . Broad & Fayette Sts ., P .O. Box 615 175 S. Broad Street , P.O. Box 8068 SALEM COUNTY : Atlantic City, NJ 08401 Bridgeton, NJ 08302 Trenton. NJ 0865 0 Deputy Clerk of the Superior Cou rt LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street , P.O. Box 18 (609) 345-3444 (609)692-6207 (609) 585-6200 Salem, NJ 0807 9 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-420 0 (609) 451-0003 (609) 695-624 9 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY : ESSEX COUNTY : MIDDLESEX COUNTY: (609) 451-0003 Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Case Processing Section 237 Hall of Record s Court, Administration Building SOMERSET COUNTY : Room 119 465 Dr . Martin Luther King Jr . 3`a Fir., I Kennedy Square Deputy Clerk of the Superior Court Justice Center, 10 Main St. Blvd. P.O. Box 263 3 Civil Division Offic e Hackensack. NJ 07601-0769 Newark, NJ 07102 New Brunswick, NJ 08903-2633 New Court House, 3`d Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL P.O . Box 3000 (201) 488-0044 (201) 622-6207 (908) 828-0053 Some rville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-216 6 (201) 624-4500 (908) 249-760 0 (908) 685-2323 BURLINGTON COUNTY : GLOUCESTER COUNTY : MONMOUTH COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior Court (908) 231-0840 Central Processing Office, Attn : Civil Case M anagement Office 71 Monument Park. P.O . Box Judicial Intak e Attn: Intake 1262. Cou rt House, West Wing SUSSEX COUNTY : I" Fir., Court Facility Court Hous e Freehold . NJ 07728-1262 Deputy Clerk of the Superior Court 49 Rancocas Road I North Broad St ., P .O. Box 129 LAWYER REFERRA L Sussex County Judicial Center Mt. Holly. NJ 08060 Woodburv, NJ 08096 (908) 431-544 43-47 High Street LAWYER REFERRAL LAWYER REFERRAL LEGAL SERVICES Newton, NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-020 0 LAWYER REFERRAL LEGAL SERVICES LEGAL SERVICES (201) 267-5882 (609) 261-018 8 (609) 848-536 0 MORRIS COUNTY: LEGAL SERVICES Deputy Clerk of the Superior Court (201) 383-740 0 CAMDEN COUNTY: HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Court Deputy Clerk of the Superior P.O. Box 91 0 UNION COUNTY : Civil Processing Offic e Court . Superior Cou rt Civil Morristown. NJ 07930-0910 Deputy Clerk of the Superior Court IS` Fl . Hall of Records Records Dept . LAWYER REFERRAL I St Fl .. Court Hous e 101 S . Fifth Street Brennan Cou rt House . I S` Fl . (201) 267-588 2 Broad Street Camden . NJ 08103-4001 583 Newark Avenue LEGAL SERVICES Elizabeth . NJ 07207-6073 LAWYER REFERRAL Jersey City. NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-452 0 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-434 0 (201) 798-6363 Court, Cou rt House Room 119 CAPE MAY COUNTY : t 118 Washington Stree WARREN COUNTY : Deputy Clerk of the Superior Court HUNTERDON COUNTY : Toms River. NJ 08754 Deputy Clerk of the Superior Court . Main St 9 N ., Box DN-20 9 Deputy Clerk of the Superior Court LAWYER REFERRAL Civil Division Offic e Cape May Court House. NJ 08210 Civil Divisio n (908) 240-3666 Court House LAWYER REFERRAL 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington, NJ 08822 (908) 341-2727 ) Belvidere, NJ 07823-1500 LEGAL SERVICES LANNYER REFERRAL LAWYER REFERRAL (609) 465-3001 (908) 735-2611 PASSAIC COUNTY : (201) 267-588 2 LEGAL SERVICES Deputy Clerk of the Superior (908) 782-7979 Cou rt, Civil Division Cou rt House LEGAL SERVICES 77 Hamilton Street (908) 475-2010 Paterson, NJ 07505 LAWYER REFERRAL (201) 278-9223 Bruce H. Nagel. Esq. Jay J. Rice, Esq. NAGEL RICE & MAZIE, LLP 103 Eisenhower Parkway Roseland, New Jersey 07068 (973) 618-0400

Marc E. Kasowitz, Esq . Daniel R. Benson, Esq. Michael J. Bowe, Esq. KASOWITZ. BENSON, TORRES & FRIEDMAN LL P 1633 Broadway New York, New York 10019 (212) 506-1700

ATTORNEYS FOR PLAINTIFFS

FAIR-FAX FINANCIAL HOLDINGS LIMITED, and SUPERIOR COURT OF NEW JERSEY CRUM & FORSTER HOLDINGS CORP .. LAW DIVISION : MORRIS COUNTY

Plaintiffs, DOCKET NO . MRS-L-2032-6

- against -

S .A.C. CAPITAL MANAGEMENT, LLC, S .A.C . Civil Action CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S.A.C. HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A . COHEN, EXIS CAPITAL SUMMONS MANAGEMENT, INC . . EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS . L.P ., EXIS INTEGRATED PARTNERS, L .P ., ADAM D . SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS. LLC, LONE PINE ASSOCIATES, LLC . ROCKER PARTNERS, L .P., COPPER RIVER PARTNERS, L .P., DAVID ROCKER. THIRD POINT LLC, DANIEL S . LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC., TRINITY FUND, LTD ., MORGAN KEEGAN & COMPANY, INC., JOHN D. GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50, Defendants. Jeffrey Perry

From the State of New Jersey To the Defendant named above:

The plaintiffs, named above, have filed a lawsuit against you in the Superior Court of New Jersey. The complaint attached to this summons states the basis for this lawsuit . If you dispute this complaint, you or your attorney must file a written answer or motion and proof of service with the deputy clerk of the Superior Court of the county listed above within 3 5 days from the date you received this summons, not counting the date you received it . (The address of each deputy clerk of the Superior Court is provided .) If the complaint is one in foreclosure, then you must file your written answer or motion and proof of service with the Clerk of the Superior Court, Hughes Justice Complex, CN-971, Trenton, NJ 08625 . A filing fee* payable to the Clerk of the Superior Court and a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany your answer or motion when its filed . You must also send a copy of your answer or motion to plaintiffs' attorney whose name and address appear above, or to plaintiffs, if no attorney is named above . A telephone call will not protect your rights; you must file and serve a written answer or motion (with fee and completed Case Information Statement) if you want the court to hear your defense .

If you do not file and serve a written answer or motion within 35 days, the court may enter a judgment against you for the relief plaintiffs demand, plus interest and costs of the suit . If judgment is entered against you, the Sheriff may seize your money, wages or property to pay all or part of the judgment .

If you cannot afford an attorney, you may call the Legal Services office in the county where you live . A list of these offices is provided . If you do not have an attorney and are not eligible for free legal assistant, you may obtain a referral to an attorney. callin by callingg one of the Lawyer Referral Services . A list of these numbers is also provided

Dated: ) Li-d

Superior Court Clerk

Name of Defendant to be Served : Jeffrey Perry Address of the Defendant to be Served : 9 Wayside Lan e Scarsdale, NY 1058 3

* $105 .00 FOR CHANCERY DIVISION CASES OR $110 .00 FOR LAW DIVISION CASES ATLANTIC COUNTY: CUMBERLAND COUNTY : MERCER COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (201) 345-7171 ) Civil Division . Direct Filin g Civil Case Management Office Local Filing Office, Courthouse 1201 Bacharach Blvd ., In Flr . Broad & Fayette Sts., P .O. Box 615 175 S . Broad Street, P .O. Box 8068 SALEM COUNTY : Atlantic City, NJ 08401 Bridgeton, NJ 08302 Trenton, NJ 0865 0 Deputy Clerk of the Superior Cou rt LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL 92 Mark Street, P.O . Box 18 (609) 345-3444 (609) 692-6207 (609) 585-6200 Salem, NJ 0807 9 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (609) 348-4200 (609) 451-0003 (609) 695-6249 (609) 678-8363 LEGAL SERVICES BERGEN COUNTY : ESSEX COUNTY : MIDDLESEX COUNTY : (609) 451-0003 Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior Court Deputy Clerk of the Superior Case Processing Section 237 Hall of Record s Court, Administration Building SOMERSET COUNTY : Room 11 9 465 Dr. Martin Luther King Jr . 3`d Flr., I Kennedy Square Deputy Clerk of the Superior Court Justice Center, 10 Main St. Blvd. P.O. Box 263 3 Civil Division Offic e Hackensack, NJ 07601-0769 Newark. NJ 07102 New Brunswick. NJ 08903-2633 New Court House, 3`d Fl . LAWYER REFERRAL LAWYER REFERRAL LAWYER REFERRAL P.O. Box 3000 (201) 488-0044 (201) 622-6207 (908) 828-0053 Somerville, NJ 08876 LEGAL SERVICES LEGAL SERVICES LEGAL SERVICES LAWYER REFERRAL (201) 487-216 6 (201) 624-4500 (908) 249-760 0 (908) 685-2323 BURLINGTON COUNTY : GLOUCESTER COUNTY : MONMOUTH COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court Deputy Clerk of the Superior Court (908) 231-084 0 Central Processing Office, Attn : Civil Case Management Office 71 Monument Park, P .O . Box Judicial Intake Attn : Intake y 1262 . Court House, West Wing SUSSEX COUNTY : 1st Flr .. Court Facility Court House Freehold, NJ 07728-1262 Deputy Clerk of the Superior Court 49 Rancocas Road 1 North Broad St.. P.O. Box 129 LAWYER REFERRAL Sussex County Judicial Center Mt. Holly, NJ 08060 Woodbury, NJ 08096 (908) 431-5544 43-47 Hiah Street LAWYER REFERRAL LAWYER REFERRA L LEGAL SERVICES Newton, NJ 07860 (609) 261-4862 (609) 848-4589 (908) 866-0200 LAWYER REFERRAL LEGAL SERVICES LEG .AL SERVICES (201) 267-5882 (609) 261-0188 (609) 848-536 0 MORRIS COUNTY : LEGAL SERVICES Deputy Clerk of the Superior Court (201) 383-740 0 CAMDEN COUNTY: HUDSON COUNTY : Civil Division - Hall of Records Deputy Clerk of the Superior Cou rt Deputy Clerk of the Superior P.O. Box 91 0 UNION COUNTY : Civil Processing Offic e Court, Superior Court Civil Morristown, NJ 07930-0910 Deputy Clerk of the Superior Court I S` Fl . Hall of Records Records Dept. LAWYER REFERRAL Is' Fl .. Court Hous e 101 S. Fifth Street Brennan Cou rt House. 1St FL. (201) 267-588 2 Broad Street Camden , NJ 08103-4001 583 Ne wark Avenu e LEGAL SERVICES Elizabeth, NJ 07207-6073 LAWYER REFERRAL Jersey City. NJ 07306 (201) 285-691 1 LAWYER REFERRAL (609) 964-4520 LAWYER REFERRAL (908) 353-4715 LEGAL SERVICES (201) 798-2727 OCEAN COUNTY : LEGAL SERVICES (609) 964-201 0 LEGAL SERVICES Deputy Clerk of the Superior (908) 354-4340 (201) 798-636 3 Court, Court House Room 119 CAPE MAY COUNTY : 118 Washington Street WARREN COUNTY : Deputy Clerk of the Superior Court HUNTERDON COUNTY : Toms River, NJ 08754 Deputy Clerk of the Superior Cou rt 9 N . Main St., Box DN-20 9 Deputy Clerk of the Superior Court LAWYER REFERRAL Civil Division Office Cape May Court House, NJ 08210 Civil Division (908) 240-3666 Court House LAWYER REFERRAL 65 Park Avenue LEGAL SERVICES 413 Second Street (609) 463-0313 Flemington , NJ 08822 (908) 341-2727 ) Belvidere, NJ 07823-1500 LEGAL SERVICES LAWYER REFERRAL LAWYER REFERRAL (609) 465-3001 (908) 735-2611 PASSAIC COUNTY : LEGAL SERVICES Deputy Clerk of the Superior (201) 267-588 2 LEGAL SERVICES (908) 782-7979 Court, Civil Division Cou rt House 77 Hamilton Stree t (908) 475-2010 Paterson, NJ 07505 LAWYER REFERRAL (201) 278-9223 Exhibit C MARC W ATTORNEYS AT LA W

MCCUSKER • ANSELMI ROSEN • CARVELLI • WALS H 127 Main Street, Chatham , NJ 07928 Tel : 973 .635 .6300 • Fax : 973 .635 .6363 www.marcw.com Andrew E . Anselmi 156 West 56th Street New York, NY 1001 9 Directo r 212 .308 .0070 Direct : 973 .457.01 16 Fax : 212 .386.7280 Email : [email protected] 98 East Water Street Toms River, NJ 08753 732 .914 .91 14 Fax : 732 .914.8024 August 31, 2006

Via Federal Express Kathleen C. Leicht, Esq. Akin Gump 590 Madison Avenue New York, New York 10022

Re: Fairfax Financial Holdings Limited, et al v. S.A.C. Capital Management, LLC, et al.

Dear Ms. Leicht:

We are local counsel to Shulte, Roth & Zabel, LLP in the above- captioned matter, representing Lone Pine Capital, LLC Lone Pine Members LLC, and Lone Pine Associates , LLC. Enclosed please find an executed Consent to Removal .

If you have any questions or comments, please do not hesitate to contact me .

Ver truly yours,

A ew E. Ansel ni

AEA/cmm Enclosure cc: Yocheved Cohen, Esq . Howard 0. Godnick, Esq. IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEW JERSE Y

FAIRFAX FINANCIAL HOLDINGS LIMITED, and CRUM & FORSTER HOLDINGS CORP. .

Plaintiffs, Civ. Action No.

- against - CONSENT TO REMOVAL S.A.C. CAPITAL MANAGEMENT, LLC, S .A.C . CAPITAL ADVISORS, LLC, S .A.C. CAPITAL ASSOCIATES, LLC, S.A.C . HEALTHCO FUNDS, LLC, SIGMA CAPITAL MANAGEMENT, LLC, STEVEN A. COHEN, EXIS CAPITAL MANAGEMENT, INC ., EXIS CAPITAL, LLC, EXIS DIFFERENTIAL PARTNERS, L .P., EXIS INTEGRATED PARTNERS, L .P., ADAM D . SENDER, SPYRO CONTOGOURIS, MAX BERNSTEIN, ANDREW HELLER, LONE PINE CAPITAL, LLC, LONE PINE MEMBERS, LLC, LONE PINE ASSOCIATES, LLC, ROCKER PARTNERS, L.P., COPPER RIVER PARTNERS, L.P., DAVID ROCKER, THIRD POINT LLC, DANIEL S. LOEB, JEFFREY PERRY, TRINITY CAPITAL OF JACKSONVILLE, INC ., TRINITY FUND, LTD., MORGAN KEEGAN & COMPANY, INC ., JOHN D. GWYNN, CHRISTOPHER BRETT LAWLESS, and DOES 1 THROUGH 50 ,

Defendants .

Defendants, Lone Pine Capital LLC, Lone Pine Members LLC, and Lone Pine

Associates LLC (collectively, " the Lone Pine Defendants "), by and through undersigned counsel , hereby consent to the removal of the above action to the United States District Court for the

District of New Jersey . I

By submitting the foregoing, the Lone Pine Defendants do not waive any of thei r

defenses to this action, including but not limited to defenses related to service of process,

jurisdiction, and venue.

Dated : August 31, 2006

Respectfully submitted ,

MCCUSKER, ANSELMI, ROSEN, CARVELLI & WALSH, P .C .

.<";1a, 6 1. •

127 Mh dStreet Chatham, NJ 07928 Telephone: (973) 457-0116 Fax: (973) 635-636 3

SCHULTE ROTH & ZABEL LL P

Howard O. Godnick Yocheved Cohen

919 Third Avenue New York, New York 10022 Telephone: (212) 756-2000 Fax : (212) 593 -5955

Attorneys for Defendants Lone Pine Capital LLC, Lone Pine Members LL C, and Lone Pine Associates LLC

2