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					       Exhibit H


Proof of Claim No. 58987
	



                               I r	        •


                                                                              1 1111 f
                                                                                1
                                                    CY COURT FOR THE SOUTHERN DISTRICT OF NEW YORK
                                                                                                       li
                                                                                                                                                              PROOF OF CLAIM
                                                                                                                                                                                        3 IC
                                                                                                         Case No                                        Your Claim Is Scheduled As fottows,
                                               One)                                                      09.50026 (REG)
                          fr ff CoilipaRy	            Ocncrat Motors Corporation)
                                                                                                         09-50027 (REG)
                          vichl Swum.' 1.1-CYn                                                                                                      MGM LXISida8 Orl Company
                          noon Corporat um (Meta Saturn Distrtbuito n Corporation)                       09-50028 (REG)
                of laricm, Int (1/k/a Chevrolet-Satntn of I loam, Inc ) 	
                                 	                                                                       09-13558 (REG)
      A11                              ,	       ,
                                 Wt.1 if In IN eMe [ROM fall mlnuanuotoreep
                                                                             enie omens after the rreatmence mew of the raw hut mar hi used         Unsecured Unknown
                                                                                                                                    slitaild he
    no poorer gasman' 	            itader to/ USC 561(6)(9) (see keel it 5) Mother regions for pa meat of as udnuannonii expense
      ed puratront ro 11 USC f                              tot
    Nante of Creditor (the person or other unity to whom thu. debtor owes money or
    Prop erty) STEVENS BONITA
    Name and address where notices should he sent                                           L3 Check ibis boa to indica'''. that this
      STEVENS BONITA                                                                               claim amends a previously raw
      GREENE & RES)                                                                                claim
      in INTREPID LN
      SYRACUSE, NY 13206-2650                                                               Court 051131 Number
                                                                                            (// Arwood

                                                                                             Mimi on
                                                                                                                                                  II an amount is ofeantfitd chow you haft a ii turn
    Tclehbonc minks                                                                                                                               schisfultd by one at the Deblois as shown ( I
                                                                                                                                                                                                  schidukd=ownofyourclamimyhito
    Email Acklit-vi                                                                                                                               =within( to a pievemnly silwaluteti amount) If you
                                                                                                                                                  4811.1. *nit the amour* and priority vi your dam as
    Name and addresk-where payment Mould he sent (if different from above)                         Check thus box il you arc aware that           schatutni by na. Dater and you hate no oth,r awn
                                                                                             O
                                           FILED 51937                                             anyone else has filed a proof of clan»         ag mist the Dibmr yen do not wad Sk this mum f o
      Same	                                                                                                                                                     EXLI Pt Aci fouvis It flu. amount itunform
                               MOTORS LIQUIDATION COMPANY                                          rotating to your clam Alfa‘h copy              shown is lulu! Al DISPUI J D, UNUQUIDAI I r) or
                                F7KJA GENERAL MOTORS CORP
                                         of statement gut mg [manakin                   LONTINGI NT a proof at dame MUST be flied
                                     SANV N 89-50024 (REG)                                                                                        order at receive any &mina= ai respect of your
                                                                                                                                                  clam it you have atrudy Made proof at Liam in
                                                                                             O     Check this box it you are the debtor           essonleasssothltwieleelifflonatadienti yonn•AdM34
    Telephone number                                                                               or trustee in this can                         file aeato
                             315-492-9665
    I Amount tdClaina as of Date Case Filed, Joie 1.2009 	                     $ 2,147.114;	                                             $ 5 Amount of Claim Entitled to
                                                                                                                                                Prtortts under II USC It 507(a)
    Iran orponoryarelami w secured, complete itan talow, however, dall of yaw dun is troeeittett, do not complete wand Il all or pan oiA        If any portion of soar chum falls
    your clams 'sainted topmost tompleionon5 wan or part efyour claim is asserted resistant to I 1 USC 4 503(b)0)) complete items               In one of the following categories,
    0 Check this box If claim includes interest or minx charges in addition to the pnnciptif amount of Liam Attach                              check the hos and state the
                                                                                                                                                111T101181
           gemmed statement of interest or tbargi.s
                                                                                                                                           Specify the priority of the chum
    2 Ram ror cl i hn Debto r 	nd
       ( so- uhtruct i onncei revemesuk )see ath7lrhinrt rnmr, mint
                                                                           deceptive rade        t            practices;                   0 Domestic support obligations ands!
                                                                                                                                                II USC 507(aXI)(A)or (aX1)(11)
    3 Lest Tour digits of any number by which creditor identifies debar	                  N/A                                              El Wages salaries or commissions (up
                 la Debtor may have scheduled account as	                  4	                                                                   to S10,950•) earned within 180 day..
                        cvne twarusatoo alu on ;vs in. side                                                                                     More filing of the b,mkruplr.y
                                                                                                                                                petition or ei.ssanon of du. dthlor's
    4 Secured Claim (Su. annitiMon N4 or uLw,rsk 04                                                                                             bosoms, whithevir is earlier — I
       Check the appropriate heir if yout Liam is scoured by a hen on property or a right of %chill and pima': thi, naptestcd
        tolomiaimn                                                                                                                              U S C 4 507(4(4)
                                                                                                                                           O Contributions to an cmployta. lx.nefit

       Nature of property or right of soar El Real Estate 0 Motor Vehicle 0 I • quipment O Otlita                                               plan — II USC 4 507(x)(5)
        Describe                                                                                                                           O Up to 52,425* of deposits toward
       Value of Property S 	                               Annual Interest Rate %                                                               putt arse, !case, or re M41 et Kutner
                                                                                                                                                or services for personal family or
        Amount of arretroge and mbar charges as of time case filed Included W secured chum it any S	                                            household use — I I U S C
                                                                                                                                                fr 507(aX7)
       Dams for perfection 	                                                                                                               O Taxes or penalties owed to
       Amount of Secured Claim S	                                   Amount Unsecured $	                                                         governmental units —II USC
                                                                                                                                                   507(a)(8)
                                                                                                                                           O Value of goods received by the
    6 Credits The amount of all payments on this Llaim has been credited for the purpose of making this proof ordain)                           Debtor within 20 days before the
    7 Docrunests Attach redacted copies of any documents that support the claim such as promissory nott,s, purchtva                             date of comint.ncemmet of the cast
                                                                                                                                                    USC 4 503(b)(9) 507(a)(2))
    orders, mown named stattne.nts or nutmeg accounts. contracts. judgments, mortgages. and security 48"ecnn-nt%
    You may also attach a summary Attach tuititled copies of domtments providing evidence of perfection of                                 O Other — Specify applicable poragiaph
    a security interest You may also aura a summary (See intouctton 7 and deffinoon of re dot led on retr y se side)
                                                                                                                                                of II USC 4 507(a)(_)
                                                                                                                                                   Amount entitled to orients
    DO NOT SEND ORIGINAL DOCUMINT S ATTACHED DOCUMENTS MAY BE DESTROYED AF1 CR
    SCANNING
                                                                                                                                           *Amounts cur whir( t to orintsiotern on
                                                                                                                                                  4/1/10 and even thereafter nub
      thc documents are not a sat lahk pkasu expiate in an attachment                                                                             ,espeit to rises commented on to Ohl
                                                                                                                                                  the date of adjusts:tent
                          ,lugnature he person	          Ows chum must sign it Sign and print WM. and title, if any, of the Medan(                                        FOR COUR r USE ONLY
                          'Whir person authortA.d to file the dawn and state address and klephone muntar il diflucnt limn thu notiu.
                          'address wt. Atoll {_ivy ot power of astotney, it any.



    Pertain*, prtsentineriutihtlent t taint Pow of tip to 5500,000 or imposonment for up to 5 years or both I tt U S C 44 152 and 1571
    Modified RIO ((O (121010
                                                                     INSTRUCTIONS FOR PROOF OF CLAIM FORM
The instructions. and dejimtions he/ow are ',uncial expiation:ins of the lass In certain i ocunistant es curb in hanArtiptcy cases noti;
be ea-cep:Joni to these grime! rides The anoint% fin the Debtor. and their court-appointed dawn agent. The Garden 00, Group           Time
                         *
providing vsiti st ita any al mime	                                                                                                        1171.1artl 6Y the debzw
                                                                                                                                             - ,44tY
                                         A SEPARATE PROOF OF CLAIM FORM mon' BE FIELD AGAihIS                                                   thrJtot a 4	2m.efi there ma.
                                                                                       r EActi DEgroR	                alnee are --r
 PLEASE SEND YOUR ORIGINAL, COMPLETED CLAIM PORM AS FOLLOWS 11) BY MA II THI GARDEN CITY GROUP INC Arm MOTORS uomu......'t                                                                          if
                    OCISSING. PO BOX 9386, DUBLIN, OH 43017-4286 IF BY HAND OR OVERNIGH T COURIER THE GARDEN CM GROUP, •• " i
 COMPANY CLAIMS PR INC • A	
 MOTORS LIQUIDATION COMPANY CLAIMS PROCESSING, 5151 BLAZER PARKWAY, SUITE A, DUBLIN. OH 43017 PROOFS OF CLA IM MAY ALSO BE HAND
 DELIVERED TO Tilt UNITED S inns BANKRUPTCY COURT, Mem ONE BOWLING GREEN, ROOM 534, NEW YORK, NEW YORK 1000$ ANY PROOF OF CLAIM
 SUOMITTED BY FACSIMILE OR E-MAIL WILL NO f BE ACCEPTED
             THE GENERAL AND GOVERNMENTAL BAR DATE IS NOVEMBER 30, 2009 AT 5 00 P M (PREVAILING EASTERN TIME)
Caere Name of Debtor, and Case Number                                                            4 st cum!' Lima
These chapter I 1 cases were commencul in the United States Bankmacy Conn for the                    Check the appropriate box and provide the requested infonstatmo if the claim as telly or
Southern District of New York on June 1, 2009 You should select the debtor mum=                      . artianY 'thustd Skip section if the dams is autiely answered (See DEFINITIONS,
                                                                                                    P_,
when yo* are muting your de=                                                                         below) S.444. the type and the value of property that secures the dada, attach copies or hen
A SEPARA P PROM Oh CLAIM hORM aMUSI BE FILEDAGAINSEFACI1                                             drummed= and state annual its            	 rate and the own= past due on the aeon as of the

DEIll OR                                                                                            date to the. bankruptcy filing
Creditor's Name and Address                                                                         Amount at Claim Emitted is Priority Under It U SC §SIII(*).
Fill in the name of the person or unity asserting a clam eel the name ad address of the              It any portion of your claim talk is one or more of the listed categoric., cbeek the
person who should receive nottees issued during die bankruptey use Please provide ns                 appropriate bouts) and state the ononet anted= to enmity (See DEFINITIONS, bel ow )
with a valid amid address A Neptune, spate is provided Tot the payment address it it                A claim may he partly priority and partly non-priority Tor example, m some of the
dittos tram the notice address 1 be has a wren nui ng ebhgation to keep the court                    categories the law limes the amount entitled to priority.
wormed of its current seltiress See Inolinal Rule of Bankruptcy Procedure (I gill')                  Tor claims pursuant to II USC 0 503(b)t9), indicate thl.qin_q_ of your Maim suing
                                                                                                                                                                        tM4
2002(g)                                                                                              from du, value of any goods recesved by the debtor within 20 days before Jute 1, 2009,
1 Amount of Claim as of Date Lave kited                                                              the date of commencement of these eases (See DEFINITIONS. below) Attach
    State the total omen= owed to the creditor on the date of the bankruptcy filing                  dourrnemation supporting =A claim
    Follow the instrucotore. concerning whether to complete aeon 4 and S Check the box           6 Credits
   if Interest or other charges are included m the claim                                             An authorized signature on this proof of clams serves as an acknowledgment that when
2 Basis for Claim                                                                                   calcuLtt mg the anima of the dawn, the creditor gave the Debtor credit for any payments
    State the type of debt or how is was incurred Examples include goods sold money                  received toward the. debt
    loaned, =meet perlormed. personal in                   death, ear loan, mortgage note        7 Documents
   mid toe= card tribe Mann is based on the delivery of health are geode or strums,                 Attach to ibis proof ofclatm totes redacted copies documenuog the existence atter debt and
    haul the disclosure. ul the goods or services so as to avoid erabartessment or the               of hen seeming the debt You may also attach a =mum, You muss also area moo
   disclosure of confitirdetal health cart. information You may be required to prom&                of documents that evidence perfection of any security interest You may also attach a
    additional disamure if ttx. debtor. trustee or another pony in interest mvs an                  sennmary I RlIPIODI(e) and (d) If the claim is bead on the delivery of' heatth erne goods
   objeaton to your clam                                                                            or services. see instruction 2 Do not send anginal documents. as attachments may be
3 Less Four Digits of Any Number by Whki Creditor identifies Debtor                                 destroyed after sermons
    State only the tau fear digits of the debtor s amount or other number used by the            Data and Signature
   coeditor to identity the debtor, it any                                                       The pawn filing this proof of clam must emu and date a FRBP 9011 If the clam as filed
    3a Debtor May Have Scheduled Account At.                                                     electronically, EDP 5005(a)(2) authorizes cowls to establish local rates spectlymg what
    Use this space to report a clung'. in the treditot s name.* transferred claim, or any        constitutes a signature Print the maw and tide if any, of the creditor or other person
   other tethered= that atones a dillerumc between due proof of claim and the elami              authortesd to Me this chum State the filer's address and tetephooe number if it differs noon
   as scheduled by the debtor                                                                    the address given on the top of the terra for purpasts of receiving nodes Attach a complete
                                                                                                 copy of any power of attorney Criminal penalties apply for nutkmg a fblse =tamed on a
                                                                                                 femoral cairn
                   DEFINITIONS                                                                                                                        INFORMATION

Debtor                                                                paid from the property prom to other creditors the           tax-ideredicatton, or Emend-account number, all but the
A debtor ts the person, eorporation. In other entity that ten bled    amount erns. seemed dam cannot exceed the value of           mimes of a minor's name and only the year of any person's
a bankruptcy case                                                     the property Any amount owed to the creditor in excess       date of birth
The Debtors so these Chapier 1 t 4.44.A. are                          of the vaka. of the property is AO unsecured claw
                                                                      Examples of liens on pt operty Include a mottgaige on rest   !evidence at Perreetiret
Moto:. Liquidation Company                                            estate or a security interest m a car A bin may he           Evidence of perihelion may include a mortgage hen,
                                  	                                   voluntarily granted by a debtor or may be 'axiom:al          certificate of Ink, financing ornament. or other document
(0k/a General Motors Corporation)              09-50026 (RTG)
MLCS, LLC                                                             through a court prou.edmg In some states a court             showing that the lien has been filed or molded
                   	                                                   Judgment ts .1 lien A clam also may lot second if the
(Ulan Saturn, LLC)                             09,50027 (RLG)         eredttor owes the debtor money (has a right to tetoft)       Acknowledgmeet or Ming of Claim
MLCS Distnbutton Comoratton          	                                                                                             To receive acknowledgment of your filing from The Garden
(Olds Saturn Diunbteton Corporation)           09.50021 (REG)         Section 503(bK9) Muni                                        City Group, Inc, please provide a self-addressed, stamped
MLC of itadero, Inc                    	                              A Section 503(b)(9) dame a claim for the value of any        envelope mid a copy of Out proof of ChlUti when you submit
(t71da Chevrolet-Saturn of Went, Inc )         09-13558 (REG)         goods received by the debtor within 20 days before the       die original chum to The Garden City Group, Ism
                                                                      date of conutimiternees of a bankruptcy case m which
Creditor                                                              the goods have been sold to the debtor in the ortbnary       Offer, is Purchase a Claim
A creditor is the person, =maculae, or other entity owed a debt       course ofeuelt debtor's benne%                               Certain MMus    we m the =mesa of preheat% churns for an
by the debtor on the data of the bankruptcy Ming                                                                                   amount less than the face value of the claims One or more of
                                                                      Unsecured Claim                                              these entities may contact the creditor and offer to purchase
Claim                                                                 An =secured claim is one that does not meet the              the claim Some of the written communications from these
A dew is the creditor's right to receive payment on a debt that       requirements of 1 secured Claim A chum may be partly         entities may eudy be confused with official court
was owed by the Debtor on the date of the bankruptcy filing See       unsecured if the asnoure of the el.= mends the value         documentation or cororntruattuans from the debtor These
It USC 1101(5) A cant may be secured or unsecured                     of the property on which the creditor has a ben              mimics do sot represent the bankruptcy court or the debtor
                                                                                                                                   The creditor het no obligation to sett its claim However, if
Proof of Claim                                                        Claim Entitled to Poutity Under tt USC b 507(a)              the creditor decides to sell ill dame any tranefer of such
A proof of claim is a form used by the creditor to indicate the       Monty claims are act= categories of immured chums            claim subject PREP 3001(e), any appbeable promo=
                                                                                                                                          is
amount of the debt owed by the debtor on the data of the              that ate paid from the available money or property to        of the                                  Err. and any
bankruptcy filing The creditor mutt file the form with The            bankruptcy case before other =maned daunt                    applicable orde
Garde, City Group. Inc as descothed m the instructions above
and in the Stir Date Nowt.                                            Redacted -                                             •--;l►dditineal I
                                                                      A riumuneut has been redacted wins etc person sting it        you have any questions with respect to thin chum ham,
Stewed Oaten Under II USC 4 506(a)                                    has masked, edited out, Or otherwise &hied, f.             please contact Alm Pannerkst 1 (800) 414-9607 or by email
A.seettred claw nate tucked by a hen on isuperty of the debtor        intones/non A creditor should redact and use on the Nurnrittogoedation corn
The slam is secured so long as the. craidor has the tight to be       last four dig= of any toeiat-seeurity. ender 	       •
                                    Greene
                                    &Reid,
                                    Injury Lawyers
                                                           PLLC


                173 Intrepid Lane
              Syracuse, NY 13205       VIA FEDEX OVERNIGHT DELIVERY
              Tel (315) 492-9665
             Fax (315) 492-9741

            180 East Ureon Street                                                     November 24, 2009
               Newark, NY 14513
              Tel (315) 331-5633

          23245 N YS Route 342
        The Garden City Group, Inc
                   Allen Plaza
        Attn. Motors Liquidation Company Claims Processing
           Watertown, NY 13601
        5151 Blazer Parkway, Suite A
             Tel (315) 786-6600
                                       Dublin, Ohio 43017
Sainte Not Accepted By Facsunde
Please Reply To Syracuse Officer       Re U S Bankruptcy Court, S D.N Y
      1-800-886-9665
                                            Motors Liquidation Company (f/k/a General Motors Corporation)
      www greenereid corn                    Case No 09-50026 (REG)
                                             Claimant/Creditor Bonita Stevens
                                            Proof of Claim No.: 03791798 - APS0708262864

                                       Dear Sir/Madam:

                                                 This office represents Claunant/Creditor Bonita Stevens in the above matter

                                               Enclosed with this letter please find the Proof of Claim form with attached
                                       exhibit completed by Bonita Stevens m said action/proceeding This Proof of Claim
                                       is timely submitted and/or served upon you in accordance with the Order of the U.S
                                       Bankruptcy Court, Southern District of New York

                                                 If you have any questions, please do not hesitate to call or write Thank you

                                                                                      Very truly yours,




                                                                                      James T Snyder, Esq

                                       JTS/aer
                                       End.
                                    APPENDIX "A"

        Creditor Bonita Stevens is a plaintiff in an action entitled David Matt and Bonita
Stevens, individually and on behalf of all others similarly situate& Plaintiffs. vs OnStar
Corporation. d/bla OnStar Communications, and General Motors Corporation,
Defendants, in New York State Supreme Court, Onondaga County, Index No 2008-0955,
which action has been removed to the U S District Court, Eastern District of Michigan,
and made part of a pending putative nationwide class action entitled "OnStar Contract
Litigation," 2 07-md-01867-SFC-PJK, before the Hon Sean F Cox

        As such, Bonita Stevens is a member of a putative nationwide class action, with
as-yet unliquidated and/or undetermined total damages in the amount of approximately
$964.25, together with approximately $1,182 79 in attorneys' fees and disbursements
(without any multiplier) as of June 1, 2009, totaling approximately $2,147 04
STATE OF NEW YORK
SUPREME COURT	                 COUNTY OF ONONDAGA


DAVID MATT and BONITA STEVENS, individually
and on behalf of all others similarly situated,
                                                                     SUMMONS
                               Plaintiffs,
                                                                     Index No
               - vs —

ONSTAR CORPORATION, d/b/a ONSTAR
COMMUNICATIONS, and GENERAL MOTORS
CORPORATION,

                               Defendants


       The Plaintiffs designate Onondaga County as the place of trial
       The Basis of the venue is Planitiff Matt's residence
       Plaintiff Matt resides at 6070 Laramie Lane, Cicero, New York 13039, and                         -).
       Plaintiff Stevens resides at 185 Fire Lane 12, Jordan, New York 13080
                                                                                                        61
       To the above-named Defendants                                                                    'U

       YOU ARE HEREBY SUMMONED to answer the complaint in this action and to serve a
copy of your answer or, if the complaint is not served with this summons, to serve a notice of
appearance, on the Plaintiffs' attorneys within twenty (20) days after the service of this summons,
exclusive of the day of service, (or within thirty (30) days after the service is complete if this      ru
summons is not personally delivered to you within the State of New York), and in case of your
failure to appear or answer, judgment will be taken against you by default for the relief demanded in
the complaint

Dated February 1, 2008




                                                          James T. Sny . Esq
                                                            eys for Plamti s
                                                         ce and Post Office Address
                                                     173 Intrepid Lane
                                                     Syracuse, New York 13205
                                                     Telephone No (315) 492-9665
Defendants' Addresses:

OnStar Coipoiation
300 Renaissance Center
MC 482-C 14-C66
Detroit, Michigan 48265-3000

General Motors Corporation
300 Renaissance Center
Detroit, Michigan 48265-3000
 SUPREME COURT
 STATE OF NEW YORK COUNTY OF ONONDAGA


DAVID MATT and BONITA STEVENS, individually
and on behalf of all others similarly situated,

                                      Plaintiffs,	                   COMPLAINT

                 vs -	                                               Index No

ONSTAR CORPORATION, d/b/a ONSTAR.
COMMUNICATIONS, and GENERAL MOTORS
CORPORATION,

                                      Defendants


        Plaintiffs, David Matt and Bonita Stevens, on behalf of themselves individually
and all others similarly situated, as and for their Complaint against General Motors
Corporation and OnStar Corporation, d/b/a OnStar Communications, allege as follows
                                     THE PARTIES
        1	     Plaintiff David Matt is a resident of the Town of Cicero, County of
Onondaga, State of New York
       2	      Plaintiff Bonita Stevens is a resident of the Town of Jordan, County of
Cayuga, State of New York
       3	      Upon information and belief, and at all times relevant herein, defendant
OnStar corporation, also doing business as OnStar Communications, is and was a
Delaware Corporation authorized to do and doing business in the State of New York,
with offices for the conduct of said business at 300 Renaissance Center, MC 482-C14-
C66, Detroit, Michigan 48265-3000, and is a wholly-owned subsidiary of defendant
General Motors Corporation
       4	     Upon information and belief, and at all times relevant herein, defendant
General Motors Corporation is and was a Delaware corporation authorized to do and
doing business in the State of New York, with offices for the conduct of said business at
300 Renaissance Center, Detroit, Michigan 48265-3000
        5	      Upon information and belief, the aforesaid OnStar Corporation, d/b/a
OnStar Communications [hereinafter "OnStarl, is and was at all times relevant helm
soliciting business, transacting business, and doing business in the State of New York and
throughout the United States, and is and was advertising, promoting, selling and
distributing its OnStar telematics services and products in the State of New York and
nationwide
        6	      Upon information and belief, the aforesaid General Motors Corporation
[hereinafter "GM"], is and was at all times relevant herein soliciting business, transacting.
business, and doing business in the State of New York and throughout the United States,
and is and was designing, manufacturing, advertising, promoting, selling and distributing
its cars, trucks and vehicle parts, including, but not limited to, Cadillac, Buick, Pontiac,
Chevrolet, Saab, Hummer, GMC and Saturn vehicle brands in the State of New York and
nationwide, GM is also the parent ckrpoi anon of co-defendant OnStar Corporation, d/b/a
OnStar Communications, and GM installs, sells and services OnStar products in said
vehicle brands, and has done so continuously from 1997 to the present
                               FACTUAL ALLEGATIONS

       7	      This case seeks monetary relief to redress, upon information and belief, a
systemic, state-wide consumer fraud perpetrated by the defendants OnStar and GM doing
business in the State of New York Plaintiffs bring this action on behalf of themselves
and on behalf of a Class of similarly-situated consumers in the State of New York who
purchased and used OnStar products, services and equipment as installed and sold in GM
motor vehicles from approximately the 1997 model year to the present, inclusive
       8	      OnStar is a telematic safety conunurucation system for motor vehicles that
is designed and built into the vehicle OnStar defines telematics as "the transmission of
data communications between systems and devices," and as designed, marketed,
advertised and sold by OnStar, allows OnStar-equipped GM vehicles to obtain
emergency assistance and information anywhere in the United States at the push of a
button As currently described on its website, OnStar is "the world's most comprehensive
in-vehicle security, communications, and diagnostics system "
	




               9	      As set forth by OnStar in its "Owner's Guide" provided with each OnStar-
    equipped vehicle, "OnStar uses sophisticated Global Positioning System (GPS) satellites
    to locate your vehicle, and wireless technology to provide the communications link and
    seamless integration into your vehicle This system allows our OnStar Advisors to
    pinpoint your vehicle's location precisely This way, our Advisors can provide you with
    a range of helpful services to protect you and your vehicle "
               10	     Among those services promised, promoted, warranted and/or provided to
    plaintiffs and the Class as a result of their OnStar equipment and subscription services,
    identified by OnStar sales and use literature provided to the New York State consumer,
    was and is automatic notification of airbag deployment, emergency services, roadside
    assistance, stolen vehicle tracking, accident assistance, remote door unlock, remote
    vehicle diagnostics, emergency medical assistance, hands-free communication, route
    support and direction, emergency ride assistance, travel services, concierge services, and
    personal calling
              11	    Personal calling was and is a prepaid additional service and, as described
    by OnStar in their literature provided with the vehicle, "a nationwide wireless phone
    service in your vehicle that you can activate simply by pressing a button and using your
    voice You can use Personal Callmg in your vehicle to place or receive calls "
              12	    Upon information and belief, key to the use of the OnStar service
    telematies was and is the cellular telephone equipment built into GM vehicles and those
    of certain other vehicle manufacturers, which OnStar cellular telephone service was
    originally built on an analog-only network owned by Verivon Wireless, especially
    important to drivers in rural areas that could only be reached by analog cell phone
    service
              13	    Upon information and belief, defendant GM manufactured and/or supplied
    the analog-only and, later, so-called "analog/digital-ready" OnStar cellular telephone
    equipment used in OnStar's system and OnStar-equipped vehicles which are the subject
    of this claim
              14	    Upon information and belief, the Federal Communications Commission
    systematically and regularly reviewed and discussed national analog cellular
    radiotelephone service, including significant changes in such service, as far back as its
"Year 2000 Hienrual Regulatory Review," addressing the fact that analog telephone
service was in decline and could be terminated nationwide because of mind advances in
digital cellular technology and service, which FCC review made specific reference to the
effect of such a change on OnStar's analog-only cellular system
        15	    Defendants OnStar and GM actively participated in such "Year 2000
Biennial Regulatory Review" cellular service planning by the FCC and so knew or
should have known from the FCC's process that analog-only cellular telephone service
would be discontinued in favor of digital-only cellular telephone service, which systems
are fundamentally incompatible with each other, and that OnStar analog-only equipment
would therefore not function on digital-only cellular telephone systems
        16	    Upon information and belief, in or ai ound 2004 and/or 2005, defendants,
while continuing to use and provide analog-only telephone service for OnStar, quietly
began to install a combination "analog/digital-ready" cellular telephone in GM's vehicles
that received analog cellular signals
        17.	   Upon information and belief, however, before, dui mg and after that time,
despite knowing that analog-only cellular service could and then would be terminated
through the FCC's "Year 2000 Biennial Regulatory Review" process, defendants GM
and OnStar continued to sell vehicles equipped with analog-only equipment they knew
would be obsolete and non-functional, or sold the so-called analog/digital-ready cellular
units without activating or renclenng immediately useable the "digital-ready" portion of
the equipment, and defendants knew that activating the "digital-ready" cellular telephone
service in vehicles equipped with such interim OnStar telematics would require
mandatory and costly hardware and/or software upgrades after the vehicle was sold at the
owner's expense before OnStar could function on a digital-only cellular network
       18	     Defendants OnStar and GM did not inform and/or affirmatively concealed
from their new or existing customeis these changes and the obsolescence of their OnStar
systems, which would cause their OnStar to stop working completely and/or would
requne expensive dealer-installed upgrades and a mandatory minimum one-year prepaid
purchase of OnStar service to remain functional, thereby piofiting from their deceptive
practices, failure to communicate and/or false advertising and promotion of the OnStar
service and capability to all participating New York State and national consumers
        19	     In or about April 2003, plaintiff David Matt purchased a new 2003 GMC
Yukon XL truck equipped with an analog/digital-ready OnStar system from Performance
Pontiac/GMC, an authorized GM dealer in Syracuse, New York
        20 In or about January 2001, plaintiff Bonita Stevens purchased a new 2001
Pontiac Montana minivan equipped with an analog-only OnStar system from Fox Auto
Mall, an authoi ized GM dealer in Auburn, New York
        21	     Plaintiffs, unrelated and unknown to one another, separately purchased
their individual vehicles for personal, family and household consumer use
        22	     At the time of purchase, GM and OnStar did not disclose to plaintiffs
and/or concealed that their telematics equipment was analog and/or was hybrid
analog/digital-ready equipment that would either stop working altogether (the analog
equipment) or require an expensive upgrade to remain operable on digital cellular
systems (the so-called "analog/digital-ready" equipment)
        23	     Upon information and belief, the 2001 Pontiac Montana minivan of
plaintiff Bonita Stevens is an analog-only telematics system that will no longer function
with the aforementioned changes in service, and on or about November 21, 2007,
plaintiff Stevens received a letter from OnStar informing her for the first time that her
analog OnStar service would be permanently "turned off" between January 1, 2008, and
February 18, 2008
       24	      The 2003 GMC Yukon XL of plaintiff David Matt is an analog/digital-
ready telematics system that required plaintiff Matt to expend $232 19 of his own funds
to "install [the] OnStar upgrade from analog to digital and reprogram" his OnStar system
at his local GMC-authonzed dealership on December 12, 2007, which cost also included
a mandatory, pie-paid one year purchase of OnStar service in ordei to have the "upgrade"
installed and completed
                           CLASS ACTION ALLEGATIONS
       25,	    Plaintiffs bring this action on behalf of themselves individually and all
others similarly situated, as a Class action pursuant to Article 9, § 901, et seq , of the New
York State C P L.R The Class which plaintiffs seek to represent is composed of and
defined as follows All persons in the State of New York who own analog or
analog/digital-ready OnStar-equipped Glut motor vehicles The Class excludes any
officers and directors of defendants OnStar and General Motois Corporation
        26	     This action has been brought and may properly be maintained as a Class
action under New York State law This Class satisfies the numerosity, commonality,
typicality, adequacy and superiority requirements of C P L R § 901 for maintaining a
Class action because
        (a)     The Class is so numerous that joinder of the individual members of the
proposed Class is impracticable While the exact number of Class members is unknown
at this time, it is ascertainable by appropriate discovery of defendants' books and records,
and plaintiffs are informed and believe the Class includes thousands of members in New
York State of more
        (b)     Common questions of law and fact exist as to all members of the Class
and piedouunate over any questions that affect only individual members of the Class
These common questions of law and fact include, but are not limited to
       (/)	     Whether the Jepresentations by defendants iegaiding the use, availability
and longevity of OnStar service were untrue, deceptive and/or misleading as to any
matenal fact,
       (ii)     Whether defendants' representations, conduct, omissions and/or
advertising were likely to deceive consumers mto believing that OnStar service would be
continuously provided for the life of the product,
       (iii)    Whether defendants' representations, conduct, omissions and/or
advertising wen e likely to deceive consumers into believing that the OnStar analog and/or
analog/digital-ready systems were fit for their intended use in violation of New York
State consumer protection laws,
       (iv)     Whether defendants knew or should have known that the OnStar analog
and analog/digital-ready systems were defective,
       (v)      Whether defendants concealed and/or misled consumers in New York
State and nationwide as to the OnStar telematics system defects,
       (vi)     Whether defendants engaged in unfair and/or deceptive acts or practices or
false advertising, in violation of N Y G B L §§ 349 and 350;
        (vii)    Whether defendants' conduct constitutes a breach of express and implied
warranties, pursuant to NY U C C §§ 2-313, 2-314, 2-315, and 2-318, and/or the
common law of New Yolk State,
        (viii)   Whether Class members have been injured by defendants' conduct
        (ix)     Whether the members of the Class aie entitled to compensatory damages
and if so, the appropriate measure and nature of such relief, and
        (x)      Whether defendants should be determined and declared financially
responsible for providing all statutory and/or Court-ordered notice(s) to New York State
Class members in this litigations, including notification of the options available for
replacement and/or upgrade of OnStar service including, but not limited to,
reimbursement for the full cost of all equipment, software and services required to keep
the OnStar systems of each Class member fully operational, and for such other and
further relief as to the Court may seem just and proper
       (c)       Plaintiffs' claims are typical of the claims of the members of the Class
Plaintiffs and all members of the Class sustained damages arising out of defendants'
course of conduct m promoting and advertising the OnStar product, equipment and/or
service in violation of the law. The losses of each member of the Class were caused
directly by defendants' wrongful conduct in violation of state statutory law and common
law as alleged herein
       (d)       The individual iepresentative plaintiffs will fairly and adequately protect
the interests of the members of the Class Plaintiffs have no interests that are adverse to
the interests of the Class members Plaintiffs purchased their products during the
requisite time period Plaintiffs' counsel has experience and success in class action
litigation and damages claims for individuals, and will vigorously prosecute this action
       (e)       The promotion and marketing of the subject OnStar service took place
thiough a common cow se of conduct which involved standardized and mass-market
advertising, pricing policy, and promotion which expressly stated or implied that the
OnStar systems would provide "safety and security" during the ownership years of the
Class members As a result, the common issues which affect plaintiff and the Class
members herein predominate over those which affect any individual Class member
        (0	     A Class action is far superior to other available methods for	          and
efficient adjudication of this controversy, since joinder of all the individual members of
the Class is impracticable Further, as the damages suffered by each individual member
of the Class may be relatively small, the expense and burden of individual litigation
would make it difficult or impossible for individual members of the Class to redress the
wrongs done to them The cost to the court system of adjudication of such individualized
litigation would be substantial
        (g)	   In addition, the prosecution of separate actions by the individual members
of the Class would create a risk of inconsistent or varying adjudications with respect to
individual Class members, which would establish incompatible standards of conduct for
the defendant By contrast, the conduct of this Class action as a Class action presents far
fewer management difficulties, conserves the resources of the parties and the court
system, and protects the rights of each Class member Further, the defendant has acted or
refused to act on pounds generally applicable to the Class, thereby making final
injunctive relief or declaratory relief with respect to the Class proper
                    FIRST CAUSE OF ACTION FOR UNFAIR AND/OR,
                        DECEPTIVE BUSINESS PRACTICES, IN

                           VIOLATION OF N.Y. G.B.L. 4 349

       27	     The individual and representative plaintiffs, on behalf of themselves and
all others similarly situated, repeat and reallege each and every allegation contained in
paragraphs "1" through "26," hereof as if fully set forth herein
       28	     At all times relevant herein, in addition to the acts, practices,
misrepresentations and/or omissions descnbed above, the advertising, promotional,
operation and guide matenals and other promotional efforts undertaken by defendants
constituted consumer-oi iented assertions, representations or statements concerning the
use, availability and longevity of OnStar equipment and service which were untrue,
deceptive and/or misleading in a material respect and which was known, or by the
exercise of reasonable care should have been known, to be untrue, deceptive or
misleading by the defendants, which caused plaintiffs and the Class an actual injury or
loss, in violation of New Yoik Geneial Business Law § 349
        29	      The defendants knew, or should have known, that their conduct and
representations expressed or implied, as further set forth above, that OnStar service was
and is, among other things, "the world's most comprehensive in-vehicle security,
communications, and diagnostics system," that would fully function and be available to
consumers during the lifetime of their vehicle, which it was not These claims relating to
such a specific consumer-oriented product offered by defendants across New York State
were materially deceptive and misleading to consumers, were likely to deceive the public,
and said material and/or omission caused, at minimum (i) an approximately $250 00 loss
(the cost of upgrading an analog/digital-ready OnStar unit plus mandatory purchase of a
one year OnStar service agreement), plus time lost for attending to such OnStar repairs
and/or upgrade, interest, costs, disbursements, and expenses of litigation, including
attorney fees, to plaintiffs, and (n) for those customers with analog-only units, loss of the
value of then- initial OnStar equipment purchase price, diminution in value of their
vehicles, and loss of the use and functionality of the OnStar service going forward from
January 1, 2008, to the end of the lifetime of their vehicles, plus tune lost for attending to
attempted OnStar repairs and/or upgrade, mterest, costs, disbursements, and expenses of
litigation, including attorney fees, to plaintiff
        30	     Pursuant to N Y. G B L. § 349, plaintiffs and the Class members are
entitled to restitution, their actual damages and/or recovery of treble damages upon
defendants' willful and knowing violation of said statute, and costs, disbursements and
attorney fees relating thereto
                SECOND CAUSE OF ACTION FOR FALSE AND/OR
                 misr,EADING ADVERTISING, IN VIOLATION OF 

                               N.Y. G.B.L. ti 350

        31	     The individual and representative plaintiffs, on behalf of themselves and
all others similarly situated, repeat and reallege each and every allegation contained in
Paragraphs "1" through "30," hereof as if fully set forth herein
       32	      At all times relevant herein, m addition to the acts, practices,
misrepresentations and/or omissions described above, the advertising, promotional,
operation and guide materials, and other promotional efforts undertaken by defendants
across New York State and nationwide constituted advertising devices, publicly
disseminated by defendants, containing consumer-onented assertions, representatto
and/or statements regarding the permanency, use, longevity, and availability of
defendants' OnStar services and equipment that were untrue, or which implied
information that was untrue, deceptive and/or materially misleading, and which were
known, or by the exercise of reasonable care should have been known, to be untrue,
deceptive or misleading by defendants, in violation of New York's false advertising
statute, New York General Business Law § 350
        33 Defendants knew, or should have known, their representations were false
in a material respect or falsely implied a material fact about which the public was likely
to be misled
        34	     Pursuant to NY GBL § 350, plaintiffs and the Class members are
entitled to restitution, their actual damages and/or recovery of treble damages upon
defendants' willful and knowing violation of said statute, and costs, disbursements and
attorney fees relating thereto
                   THIRD CAUSE OF ACTION FOR BREACH OF
                    EXPRESS AND/OR IMPLIED WARRANTY

        35	     The individual and repiesentative plaintiffs, on behalf of themselves and
all others similarly situated, repeat and reallege each and every allegation contained in
Paragiaphs "1" through "34," hereof as if fully set forth herein
       36	     Upon information and belief, defendants expressly and/or unpliedly
represented to the public that the afin ementioned OnStar service and equipment were free
from defects, would function for the lifetime of the vehicle, were of merchantable quality,
and/or fit for the ordinary purposes for which said product was intended to be used
       37	     The plaintiff and other members of the Class relied upon the skill,
knowledge, judgment, representations, and warranties of defendants with regard to the
same
       38 Defendants bleached said warranties because the OnStar analog-only and
analog/digital-ready systems were defective when furnished and will cease to function as
of January 1, 2008, but no later than February 18, 2008
       39	     Further, the representations and warranties of defendants were false,
misleading, and inaccurate in that the aforementioned product, when put to the test of
actual performance, proved to be unsound and unsuitable for the purposes for which the
same was intended
          40	     Because of defendants' failure to warn the public, failure to disclose and
their issuance of false and misleading statements and concealment, plaintiffs and Class
members did not and could not have known about the defective nature of the OnStar
analog and analog/digital-ready systems and service
          41	     As such, the defendants breached their express and/or implied warranties,
in violation of, among other statutes and regulations, New Yolk State Uniform
Commercial Code §§ 2-313, 2-314, 2-315, and 2-318
          42	     As a result of the breach of warranties of defendants, plaintiffs and the
Class members were caused to sustain economic damages, loss and injury


                              REQUEST FOR A JURY TRIAL
          43 The individual and representative plaintiffs, on behalf of themselves and
all others sinulaily situated in the Class, request a jury trial of all issues set forth in this
Complaint
                                   PRAYER FOR RELIEF
          WHEREFORE, the individual and representative plaintiffs, on behalf of
themselves and all others similarly situated, play for judgment against defendants herein
as follows
          An Order confirming the certification of the plaintiff Class and appointing
plaintiffs and their counsel to represent the Class;
          On behalf of plaintiff and the Class, the actual and consequential compensatory
damages requested herein, together with the interest thereon from the date of purchase of
the OnStar products to present,
          On behalf of plaintiff and the Class, the punitive and treble damages as requested
herein,
          For statutory pre- and post-judgment interest;
          For reasonable attorneys' fees and the costs and disbursements of this action, and
          For such other and further relief which is reasonable under the circumstances and
to this Court may seem just and proper
DATED February 1, 2008
                         Your s, etc ,


                         GREENE & REID, PLLC



                                     T Snyde , Esq
                                  for Plaumffs
                             cc and Post Office Address
                         173 Intrepid Lane
                         Syracuse, New York 13205
                         Telephone (315) 492-9665
           Exhibit I


August 22, 2007 Transfer Order
                                 867-SFC-PJK Document 1 Filed 08/22/07 Page 1 of 4


                                                                                       JUDICIAL PANEL ON

                                                                                     MULTIDISTRICT LITIGATION

                                                                                             AUS172007
                                 UNITED STATES JUDICIAL PANEL                                  FILED

                                                      OD                                   CLERK'S OFFICE
                                    MULTIDISTRICT LITIGATION


INRE: GENERAL MOTORS ONSTAR
                    	
CONTRACT LITIGATION                                                                    No.11867    n	
                                                                                                   L       E
                                                                       	                    A11622 XV
                                            TRANSFER ORDER
                                                                                         CLERK'S OFFICE
                                                                                           DETROIT
       Before the entire Panel*: Defendants General Motors Corp. and OnStar Corp. (OnStar) have
moved, pursuant to 28 U.S.C. § 1407, to centralize this litigation for coordinated or consolidated pretrial
proceedings in the Eastern District of Michigan. Plaintiffs in the Eastern District of Michigan actions
support this motion, while plaintiffs in the Northern District of California action oppose centralization_
        This litigation presently consists of four actions listed on Schedule A and pending in two districts
as follows: three actions in the Eastern District of Michigan' and one action in the Northern District of
California.

         On the basis of the papers filed and hearing session held, we find that the actions in this litigation
involve common questions of fact, and that centralization under Section 1407 in the Eastern District of
Michigan will serve the convenience of the parties and witnesses and promote the just and efficient
conduct of the litigation. All actions share factual allegations relating to (1) the impact of the conversion
of the cellular network from an analog/digital network to a digital-only network on December 31, 2007,
and (2) the availability of OnStar service in certain vehicles thereafter. Centralization under Section 1407
will eliminate duplicative discovery', avoid inconsistent pretrial rulings, especially with respect to class
certification; and conserve the resources of the parties, their counsel and the judiciary.

         We are also persuaded that the Eastern District of Michigan is an appropriate transferee district for
this litigation, because (1) three actions and a potential tag-along action are currently pending in this
district, and (2) relevant documents and witnesses are likely located in or near defendants' facilities in
Michigan.


     * Judge Scirica took no part in the disposition of this matter.
       One of the three Eastern District of Michigan actions has been recently transferred there pursuant
     to 28 U.S.C. § 1404(a) from the Eastern District of Pennsylvania. The Panel has been notified that
     several other related actions have recently been filed M multiple districts. These actions will be
     treated as potential tag-along actions. SeeRules 7.4 and 7.5, R.P.I.P./vI.L., 199 F.R.D. 425, 435-36
     (2001).
            Case 2:07-md-01867-SFC-PJK Document 1 Filed 08/22/07 Page 2 of 4




                                                    -2-

         IT IS THEREFORE ORDERED that, pursuant to 28 'U.S.C. § 1407, the action listed on Schedule
A and pending in the Northern District of California is transferred to the Eastern District of Michigan and,
with the consent of that court, assigned to the Honorable Sean F. Cox for coordinated or consolidated
pretrial proceedin with the actions pending there and listed on Schedule A.


                                               PANEL ON MULTIDISTRICT LITIGATION




                                                                       Chairman

                                               D. Lowell Jensen                J. Frederick Motz
                                               Robert L. Miller, Jr.           'Cathryn H. Vratil
                                               David R. Hansen                 Anthony J. Scirica*
        Case 2:07-md-01867-SFC-PJK Document 1 Filed 08/22/07 Page 3 of 4



IN RE: GENERAL MOTORS. ONSTAR
CONTRACT LITIGATION	                                                    MDL No. 1867

                                           SCHEDULE A


            Northern District of California

     Margaret A. Gonzales, et al. V. General Motors Corp, et al., C.A. No. 3:07-2580	   Chri— rill CI rl

            Eastern District of Michigan

     Howard Morris, et al. v. General Motors Corp., C.A. No. 2:07-11830
     Robert C. Weaver v. OnStar Corp., et al., C.A. No. 2:07-12036
     Robert G. Gordon, et al. v. OnStar Corp., et aL, CA. No 2:07-12971
                          Case 2:07-md-01867-SFC-PJK Document 1 Filed 08/22/07 Page 4 of 4
                                                                                         	
                   on Multidistrict Litigation - Panel Attorney Service List                                                        Page 1

             I 867 - IN RE General Motors OnSlar Contract Litigation
             Transferred on 08/17/2007
        4ferec District MIE	      Judge: Cox, Scan F. 	                                                             Printed on 08/20/2007
    fORNEY - FIRM	                                            REPRESENTED PARTY(S)

Daniels, Timothy A.                                           Phone: (2(4) 939-2016 Fes: (214) 939-2090
Figarl & Davenport, L.L.P.                                    General Mourn Corti.• ; OnStar Corp.*
3400 Bank of America Plaza
901 Main Sheet
Dallas, TX 75202


Miller, E. Powell                                         -=.> Phone: (248)841-2200 Fax: (2.48) t.52 2452
Miller Law Firm, PC                                           Jacovelli, Jack; Johnson, Bruce; Morris, Howard S.
Miller Shea Building                                           1 — 114s"%i 1-w6'u	                      1153 ?).6
950 West University Drive
Suite 300
Rochester, MI 48307


                                                             Phoom (504) 455-1400 Fax: (504) 455-1498
Kahn Gauthier Swirk, LLC                                     Gonzales, Margaret A.'
650 Poydras Street                                                    09-13-191
Suite 2150
New Orleans., LA 70130


                                                             Men= (41,5)433-4949 Fax: (415) 433-7311
            4 Olson LLP                                      Panay', Jr., frilly Joe•
    Front Street
4th Floor
San Francisco, CA 94111


                                                             P	     (215) 244-8880 Fax: (215)244-6425
                                                             Gordon, Robert G.•: Gordon, Sarah L.*
Taws Nestaininy Ina:mita                                         — t'acfl
Suite 204
Trevose. PA 19053


Young, Lance C.
Law Moe of Lamm C. Young                                     Weaver, Rob= C.
43311 Joy Road, l 244                                           I— n -a.0
Canton, MI 48187




Note; Please refer to the report title page for c ttpieta report scope and key.
       Exhibit J


Proof of Claim No. 19026
'01806748
 APS0605903614                                              111 11111

UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF NEW YORK
                                                                                                          II 11111111
                                                                                                                                                 INI   PROOF OF CLAIM
 Name of Debtor (Check Only One)	                                        Cast, No                                                                Your Claim In Scheduled As Follows,
 ZIMotors Liquidation Company (f/k/a General Motors Corporation) 	       09-50026 (REG)                                                                      FILLD - 19#26
 q MLCS, LLC (f/lda Saturn, LLC)	                                        09-50027 (REG)                                                          MOTORS LIQUIDATION COMPANY
 qMLCS Distnbution Corporation (tilda Saturn Distribution Corporation) 	 09-50028 (REG)
 qHALC of Harlem, Inc (f7k/a Chevrolet-Saturn of Harlem, Inc ) 	         09-13558 (REG)                                                           F/K/A GENERAL MOTORS CORP
 NOTE Tim fume Harold nag he usrd la make a chum* an admoustraart crprnse anang after J	         o	             ihr ease but mat Ise used
                                                                                                                                                       SDNY # 09-50026 (REG)
fur pwposci afacsertmg a clam under 11 USC 0 103(h)(9)(set /trot II .5) 411 odn i mamas: for pa yment o au admurrraaine extreme Otuadd ha
fdtd parsufmr to II U S C 0 503

Name of Creditor (the person or other entity to whom the debtor owes money or
property)	 14LSI4 - ONSTAR - ANALOG TO DIGITAL TRANS                                                                                                                         CI?).
Name and address where notices should be scnt                                             q	    Check this box to indicate, that this                                                Q"9
 NISM - ONSTAR - ANALOG TO DIGITAI. TRANS                                                       claim amends a prtviously filed                                                       0
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                                                                                                                                                                                      ...o
  1565 SPRUCE CANYON DR                                                                                                                                                               ..
  PRESCOTT AZ 86303-7258                                                                  Court Claim Number                                                                     .
                                                                                          (If known)

                                                                                          Filed on
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Telephone number 442(3/ Ma • 4440 a                                                                                                         selicdulcd by omt of da. Deism as fawn ( IN.!
                                                                                                                                            schi,dulut amount at your clam may lit. an
Email A chin= eDN %Tw fp Et 01 . MAO
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                                                                                                                                            agnx with ilin. amount and plumy of yran Limon .r.
Name and address where payment should be sent (if different from above)                   0	    Check this box if you arc aware that        schcdulod by the ()caw and you lux nu mho. i-Lum
                                                                                                anyone else has filed a proof of claim                   Lxclpi sin 	 "" i" tZF'wfur
                                                                                                                                            'tr.'sthe "°r r"As 1 nu owsri'ifth
                                                                                                                                                s,                                           t
                                                                                                relating to your claim	 Attach copy                          —Wi	
                                                                                                                                            shorm vs. tistoTan (1017           AQUIDAITIO or
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                                                                                                of siatunent giving particulars             LOWING' NI a prooruci.lath MUS I he Mid in
                                                                                                                                                                                  of your
                                                                                                                                            ordka to nt.em any drankauton or nAeu.a
                                                                                                                                            dram	 II you haw. abrudy Ithal a proof ail claim in
                                                                                           GI	 Check this box if you arc the debtor         asoodwiadaribthcauacheal mom= you mut out
Telephone number 44,22/ -c-r4, 4.4,06                                                          or trustee in this case                      lilt, again

I Amount of Claim as of Date Case Flied, JUIN 1 9 2009	                       S 0                                                           5	   Amount ',retain I ntitled to
Ifall er part °ryas-claim is secured, oamplae dem 4 below. however, !fall ofyour clan is unsecumd do not complete ttan 4 !fall or part of         Pnonty under of U S C 4 507(a )
                                                                                                                                                                   II	
                                                                                                                                                 I f any portion your slams tell s
your claima entitled to przonty, complete acm 5 Wall or part dour clam is asserted pursued to II USC It 503(bX9), oomph= itan 5                  in one of the following calegorscs.
q	 Check this box it chum includes interest or other charges in addition to the principal amount of claim Attach                                 check the box and state the
        temized statement of interest or charges                                                                                                 amount
                                                                                                                                            Spectly the pnurity of the claim
2 Basis for Claim                                                                                                                           q	 Domesin, support obligations under
   (See instruction ff2 on row= sic)                                                                                                              IIUSC ti 507(aX I XA) or (a) ( 1 XD)
3	 Last four digits of any number by which creditor identifies debtor                                                                       0	 Wages salaries, or commissions (up
            34 Debtor may have scheduled ac count as                                                                                             to S I0,950 • ) camel within 180 days
               (Sim inidnizion Oa on redone ode)                                                                                                 bt.lon. Ming of du, bankruptcy
                                                                                                                                                 petition or cessation of the debtor s
4 Secured Claim (See instrachan a4 on rev erse side)                                                                                             business . whichcou Is carlier - II
  Check the appropriate box if your claim a secured by a lien on property or a right of setoff and provide the requested                         U S C It 507(3-X4)
  information
                                                                                                                                            q	 Contributions to an employee benefit
    Nature of property or right of setoff	       q	   Real Estate	      Le Motor Vehicle       q	    Equipment	     q	 Other                     plan - I I USC § 507(ag5)
    Describe                                                                                                                                Cl	 Up to 52.423 • of deposits toward
    Value of Property S	                          Annual Interest Rate	       %                                                                  purchase, luau., or rental of propcny
                                                                                                                                                 or scrvietA for personal Ianuly or
    Amount of arrearage and other charges as of tame cue filed metaded in secured claim, if any S                                                household use - II USC
                                                                                                                                                   t/   507(4)(7)
    Bases for perfection                                                                                                                    q	     Taxes or penaltics owul to
                                                                                                                                                   governmental und o. - II USC
    Amount of Secured Claim S	                               	 Amount Unsecured 5	
                                                                                                                                                   § 507(a)(8}
                                                                                                                                            O	     Value, of goods accivul by the
6 Credits The amount of all payments on this claim has been credited for the purpose of making this proof of claim                                 Debtor within 20 days before, thi.
                                                                                                                                                   date of cominencement ofthe case -
7 Documents Attach redacted copies ot any documents that support the claim, such as promissory notes purchase                                      11 U S	 C § 503(6)(9) fti 5 07( aX2))
orders, Invoices, itemized statements or ninning accounts contracts, judgments mortgages, and security agreements                           q	
You may also attach a summary Attach redacted copies of documents providing evidence of perfection of                                              Other - Specify applicable paragraph
                                                                                                                                                   of II USC 5 507(a)(__)
a security interest	 You may also attach a summary. (See rnsteactron 7 and definaron of redacted on reverse side )                                   Amount entitled to pnords
 DO NOT SEND ORIGINAL DOCUMENTS ATTACHED DOCUMENTS MAY BE DESTROYED AFTER
SCANNING                                                                                                                                                     s
                                                                                                                                            • Amounts   are figyect to adjustment ad
                                                                                                                                            4/1/10 and cvers, 3 WINS" thereafter wah
lithe documents are not available, please explain in an attachment                                                                          respect to caner commenced on ar after
                                                                                                                                            the date of udat%tment
                        Signature	 76e . _	 •	 fileng	 as claim must sign it	 Sign and print name and title, if any, of the ..icditor or                         FOR COURT USE ONLY
       ter tote-riogother person out a ized to file	          m and state address and telephone number if different from the notice
                     address above	      b copy	        l	 of anorney, if any



 PenalOrforpresentorgfroaddent claim       Fine of up In S500,000 or impnscament for up to 5 yeas, or both 18 U SC ,1§ 152 and 3571
 Modified BIO (GCG) (12/48)
                                                                    INSTRUCTIONS FOR PROOF OF CLAIM FORM
The instructions and defthatons below are general explanations of the law In certain coriunsiances such as baniowney cases not filed voluntaril y by the debtor, there may
be exceptions to these general rules The attorneys Jor the Debtors and their court-appointed claims agent The Garden Cay Group Inc , are not authorized and are not
providing you with any legal advice
                                               A SEPARATE PROOF OF CLAIM FORM MUST BE FILED AGAINST FACH DFRTOR
PLEASE SEND YOUR ORIGINAL, COMPLETED CLAIM FORM AS FOLLOWS IF BY MAIL THE GARDEN CITY GROUP, INC. ATTN MOTORS LIQUIDATION
COMPANY CLAIMS PROCESSING, PO BOX 9386, DUBLIN, OH 43017-4286 IF BY HAND OR OVERNIGHT COURIER THE GARDEN CITY GROUP, INC, ATTN
MOTORS LIQUIDATION COMPANY CLAIMS PROCESSING, 5151 BLAZER PARKWAY, SUITE A, DUBLIN OH 43017 PROOFS OF CLAIM MAY ALSO BE HAND
DELIVERED TO THE UNITED STATES BANKRUPTCY COURT, SONY, ONE BOWLING GREEN ROOM 534, NEW YORK. NEW YORK 10004 ANY PROOF OF CLAIM
SUBMITTED BY FACSIMILE OR E-MAIL WILL NOT BF ACCEPTED
           THE GENERAL AND GOVERNMENTAL BAR DATE IS NOVEMBER 30, 20119 A T 5 00 P M (PREVAILING EASTERN TIME)
Court, Name of Debtor, and Case Number                                                          4 Secured Claim
These chapter II cases were commenced in the United States Bankruptcy Court for the                Cheek the appropriate box and provide the requested information if the claim is fully or
Southern District of New York on June I, 2009 You shoukl select the debtor ag,unsi                  partially secured Skip this section lithe claim is entirely unsecured (See DEFINITIONS,
which you are asserting your claim                                                                 below ) State the type and the valet of property that secures the claim, attach copies of hen
A SEPARATE PROOF OF CLAIM FORM! M US T BE FILED AGAINST EACH                                       documentation, and slate annual mterest rate and the amount past due on the chum as of the
DEBTOR                                                                                             dale oI the bankruptcy filing
Creditor's Name and Address                                                                     5 Amount of Claim Entitled to Priority Under II U S C § 507(a)
Fill in the name of the person or entity asserting a claim and the name and address of the          If any portion of your claim falls in one or more of the listed categories, check the
person who should receive notices issued donne the bankruptcy case Please provide us               appropnatc box(es) and state the amount entitled to priority (Sec DEFINMONS, below )
with a valid email address A separate space Is provided for the payment address if it               A claim may be partly priority and partly non-pnonty For example, in some of the
differs from the notice address The creditor has a cominuuis obligation to keep the court          catcgones. the law limits the amount entitled to pnonty
informed of its current address See Federal Rule of Bankruptcy Procedure (FRBP)                     For claims pursuant to 11 U S C § 503(b)(9). `indicate the amount of your claim arising
2002(g)                                                                                            from the value of any goods teemed by the debtor within 20 days before June I, 2009,
1 Amount of Chant as of Date Case Filed                                                            the dots of commencement of these cases (Sec O grIN/TIC/NS. below) Amish
     State the total amount owed to the creditor on the date of the bankruptcy filing               documentation supporting rush claim
     Follow the instructions concenung whether to complete items 4 and 5 Check the box          6 Credits
     tf interest or other charges are included m the claim                                         An authonted signature on this proof of claim serves as an acknowledgment that when
2 Basis far Claim                                                                                  calculating the amount of the claim, the creditor gave the Debtor credit for any payments
     State the type of debt or how it was incurred Examples include goods sold, money              received toward the debt
     loaned, silences performed, personal mjury/wrongful death, car loan, mortgage note,        7 Documents
     and credit card lithe claim is based on the delivery of health care goods or sconces.         Attach to this proof of claim form redacted copses documenung the existence of the debt and
     limn the disclosure of the goods or services so as to avoid embarrassment or the              of any ben securing the debt You may also attach a summary You must also attach copies
     disclosure of confidential health care information You may be required to provide             of documents that evidence perfection of any security interest You may also much a
     additional disclosure if the, debtor trustee or =Asr party in interest files an                summary FRBP 3001(c) and (d) lithe claim is based on the delivery of health care goods
     objectuni to your claim                                                                       or services, sec Instruction 2 Do not send original documents as attachments may be
3 Last Four Digits of Any Numberlry Which•Creditor Identities Debtor                               destroyed after scanning'
      Seals only the last four digits of the debtor's account or other number used by the       Date and Signature
     creditor to identify the dam if any                                                        The person filing this proof of clams most sign and date n FRBP 9011 if the claim is filed
     3n Debtor May Have Sehedukd Account As                                                     electronically FRBP 5005(a)(2) authorizes courts to establish local rules speraPying when
     Use this space to report a change in the creditor's name a transferred (.131M or any       constitutes a signature Print the name and title, if any, of the creditor or other person
     other Information that dentin a difference between An proof of claim and the claim         authorized to file this claim State the filer's address and telephone number if it differs horn
     as scheduled by the debtor                                                                 the address given on the top of the form for purposes of receiving notices Attach a complete
                                                                                                copy of any power of attorney Criminal penalties apply for making a false statement on a
                                                                                                proof of damns
                                        	
                    DEFINITIONS                                                                                                                     INFORMATION
Debtor                                                                paid from the property prior to other creditors The tax - identification or financial-account number, all but the
A debtor is the person corporation or other entity that has filed     amount of the secured claim cannot exceed the value of initials of a minor's name and only the year of any person's
a bankruptcy case                                                     the property Any amount owed to the La-their in excess date of birth
The Debtors in these Chapter II cases are                             of the sable of the property is an unsecured claim
                                                                      Examples of bests on property include a mortgage on real Evidence of Perfection
Motors Liquidation Company           	                                estate or a security interest in a car A lien may be Evidence of perfection may include a mortgage, hen.
(17k/a General Motors Corporation)             09-50026 (REG)         voluntarily granted by a debtor or may be obtained certificate of title, financing statement or other document
MI r'S LLC                                                            through a court proceeding In some states, a court showing that the hen has been filed cc recorded
                     	                                                 judgment is a lien A claim also may he secured if the
(f/k/a Saturn, LLC)                            09-501127 (REG)
                                                                      creditor owes the debtor money (has a right to setoff)    Acknowledgment of Filing of Claim
MLCS Distribution Corporation            	                                                                                      To receive acknowledgment of your tiling from The Garden
(filcia Saturn Distribution Corporation)       09-50028 (REG)         Section 503(b)(9) Claim                                   City Group Inc please provide a self-addressed, stamped
MLC of Harlan Inc                          	                          A Section 503(b)(9) claim is a claim for the value of aoy envelope and a copy of ibis proof of claim when you submit
(flkle Cherrolet-Saturn of Harlem Inc )        09-13558 (REG)         goods received by the debtor within 20 days before the IN. enginel claim to 'I he Garden City Group, Inc
                                                                      date of commencement of a bankruptcy Lass 10 which
Creditor                                                              the goods have been sold to the debtor in the ordinary Offers to Purchase a Claim
A creditor is the person, corporation, or other entity owed a debt    comet of each debtor's bouncy.                            Certain entities are in the business of purchasing claims for an
by the debtor on the date of the bankruptcy filing                                                 •                            amount less than the face value of the claims One or mote of
                                                                      Unsecured Claim                                           thew entities may contact the creditor and offer to purchase
Chum                                                                  An unsecured claim n one that does rim meet the the claim Some of the written cominumeations from these
A claim is the creditors right to receive payment on a debt that      rsquirernenu of a secured claim A claim may be partly Lnlities may easily be confused with official court
was owed by the Debtor on the date of the bankruptcy filing See       unsecured if the amount of the claim exceeds the value documentation or conunumrabons from the debtor These
II USC 101(5) A claim ma y be secured or unseneed                     of the property on which the creditor has a lest          (mines do not represent the bankruptcy court or the debtor
                                                                                                                                The creditor has no obligation to sell its claim Howeser, if
Proof of Claim                                                        Claim Entitled to Priority Under It 1.1 S C § 507(e) the creditor decodes to sell tie claim, any transfer of such
A proof of claim is a form used by the creditor to indicate the       Priority claims are certain categories of secured claims slaw is subject to FRBP 3001(e) any applicable provisions
amount of the debt owed by the debtor on the date of the              that are paid from the available money or property in a of the Bankruptcy Code (11 U S C § 101 ct scq ) and any
bankruptcy filing The creditor must file the form with The            bankruptcy case before other unsecured claims             applicable orders of the bankruptcy court
Garden City Group, Inc as described in the insuushons above
and in the Bar Date Notice                                            Redacted                                                   AdclIdonal Information
                                                                      A document has been redacted when the person filing it     If you have any questions with respect to this claim form,
Secured Claim Under II USC § 506(a)                                   has masked, edited out, or otherwise deleted, certain      please contact Ala Partners at I (800) 414-9607 or by c-mail
A secured claim is one backed by a lien on property of the debtor     information A creditor should redact and use only the      at claunsfamotorshquelanon com
The claun is secured so long as the creditor has the right to be      last four digits of any social-security individual's
                         1565 Spruce Canyon Drive

                            Prescott, Az 86303

To whom it may concern,

I have just received your unwelcome letter informing me of the
discontinuation of my OnStar system on our 2002 Buick GS Regal
Of course, I can continue service if I purchase a new vehicle.

After checking with the local GMC Dealer, I was informed that there are
two analog systems, one that can be converted to digital and one that can
not. According to my YIN number, mine is not convertible.

Needless to say, this deceitful action b: GMC is beyond belief, you knew
about the FCC ruling a decade ago and still kept installing the analog
system. 1 am looking to join a Class Action Suite against GMC on this issue.

I also have a 1998 Sonoma which will be replaced this year, of course GMC
is now out of all this families' life It will be replaced with a Nissan

I can see why your company is failing.

Bruce C Winne



928/776 — 4608
BCW1776@aol corn



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                                                  	                 MED GRAY LEATHER/VINYL BUCKET
       TRANSMISSION-4 SPEED ELECTRONIC                   Rag"; OR
                                                                    SEATS W/CONSOLE AND ARMREST
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                                                                                                                                                          MANUFACTURERS   SUGGESTED RETAIL. PP
                                                                                                                                                                	
      STANDARD EQUIPMENT                                                                                                 STANDARD VEHICLE PRICE                            $27,285.01
       Items Featured Below are included at NO EXTRA CHARGE in the Standard Vehicle Price Shown at Right
         *" SAFETY & SECURITY •••                        • AIR FILTRATION SYSTEM
                                                                                                                         Options Installed by Manufacturer
      • DRIVER FRONT & SIDE AIR BAGS                     •SEAT- 8 WAY POWER DRIVER                                    GS STANDARD PACKAGC (SD)                               NO CHARG

      • FRONT PASSENGER AIR BAGS                         •DOOR LOCKS • PROGRAMMAB
      • BRAKES-ANTILOCK, 4-WHEEL DSC                     •FUELJENGINE INFO CENTER                                     16" CHROME ALUMINUM WHEELS                                    650 0

      •SAFETY BELTS W/FRONT COMFORT                      •KEYLESS ENTRY . REMOTE                                       (REPLACES STD/OPT PKG WHEELS)
        ADJUSTER & REAR COMFORT GUIDE                    • LAMPS-FRONT CORNER•FOG/DRIVNCI                             50•STATE LOW EMISSION VEHICLE                          NO CHARG

      •THEFT DETERR SYS- PASS KEY II                     • MIRRORS-REMOTE HEATED OUTSIDE 

      • BATTERY - RUN DOWN PROTECTION                      REARVIEW MIRRORS(BODY COLOR)                               TOTAL OPTIONS                                                 650 0
      • DAYTIME RUNNING LAMPS                            • RADIO-CD/CASSETTE W/AUTO TONE
      • ONSTAR COMMUNICATION SYSTEM                      • LEATHER WRAP STEERING WHEEL
        INCL 1 YR SAFETY & SECURITY                      • SEAT-REAR SPUT FOLDING
      •TRUNK RELEASE HANDLE
                               W/ARMREST & CUPHOLDER
           *•* MECHANICAL •••                            • PREMIUM 8 SPEAKER MONSOON SYS
      •STEERING • VARIABLE EFFORT                        •STEERING WHEEL RADIO CONTROLS
      •TILT STEERING & CRUISE CONTRL                     •TRUNK-FULL TRIM, LOW LIFT OM
      •SUSPENSION - GRAN TOURING                         •WINDOWS-POWER EXPRESS OWN DRV
      •TiRES-P225160R16 ALLSEASON BW                     •WIPERS•2SPEED W/DELAY FEATURE
      •TRACTION CONTROL- FULL RANGE                           CONVENIENCE PLUS'*'
      •WHEELS - 16" AU; :INUM                            • LIGHTS -DELAY ENTRY & EXIT
            *** FEATURES"'                               • MIRRORS: IS/OS REARVIEW,
      • AIR CONDITIONING - DUAL ZONE                       ELECTROCHROMIC W/AUTO DIM

Compare this vehicle             o   talhors   rt 11-16 FREEFUEL ECONO     Y GUIDE	         'able       h.4*(feler.
                                                                                                 ti




                 CITY MPG                             amo                        HIGHWAY MPG
                                                       Fuel-Economy



                 18                                    Information

                                                                                   2•7
4.1   al Wedge will vary with                                                      *For comparison shopping,
phons, driving conditions,                                                             al vehicles classified as
       g habits and vehicle               2002 REGAL                                                   MID-SIZE
      • n Results reported to             3 8 LITER V6 SUPERCHARGED ENGINE            have been issued mileage
PA indicate that the maionty              FUEL INJECTION, AUTOMATIC                         ratings rang ng from
 vehicles with these estimates            4 SRO ELECTRONIC TRANS                          11 to 26 mpg city
H achieve between                                                                        16 to 33 mpg tug
                                          CATALYST, FEEDBACK FUEL SYSTEM
  and 21 mg in the city
        and between
  and 32 mpg on the highway               ESTIMATED ANNUAL FUEL COST $1178
                                                                                                                      TelT A I Wat.fiest C • nOrr0114)Q                    Onm A•e n
                         HEARING DATE AND TIME: February 3, 2011 at 9:45 a.m. (Eastern Time)
                            RESPONSE DEADLINE: January 27, 2011 at 4:00 p.m. (Eastern Time)




UNITED STATES BANKRUPTCY COURT
SOUTHERN DISTRICT OF NEW YORK
---------------------------------------------------------------x
                                                               :
In re                                                          :   Chapter 11 Case No.
                                                               :
MOTORS LIQUIDATION COMPANY, et al., :                              09-50026 (REG)
               f/k/a General Motors Corp., et al.              :
                                                               :
                                    Debtors.                   :   (Jointly Administered)
                                                               :
---------------------------------------------------------------x


ORDER GRANTING DEBTORS’ OBJECTION TO PROOF OF CLAIM NO. 3128
  FILED BY CHERYL NICHOLAS, PROOF OF CLAIM NO. 59632 FILED BY
  TAMMY HAMMOND, PROOF OF CLAIM NO. 51094 FILED BY ROBERT
GOLISH, PROOF OF CLAIM NO. 51092 FILED BY JOHN IRVINE, PROOF OF
 CLAIM NOS. 58984 AND 58985 FILED BY DAVID MATT, PROOF OF CLAIM
    NO. 58983 FILED BY JASON J. SMITH, AND PROOF OF CLAIM NO.
                  58987 FILED BY BONITA STEVENS

                 Upon the Objection dated December 17, 2010 (the “Objection”) to Proof

of Claim No. 51094 filed by Robert Golish, Proof of Claim No. 51092 filed by John

Irvine, Proof of Claim Nos. 58984 and 58985 filed by David Matt, Proof of Claim No.

58983 filed by Jason J. Smith, and Proof of Claim No. 58987 filed by Bonita Stevens (the

“On-Star Putative Class Claims”) of Motors Liquidation Company (f/k/a General

Motors Corporation) and its affiliated debtors, as debtors in possession (collectively, the

“Debtors”), pursuant to section 502(b) of title 11, United States Code (the “Bankruptcy

Code”), Rule 3007(d) of the Federal Rules of Bankruptcy Procedure (the “Bankruptcy

Rules”), and this Court’s Order Pursuant to Section 502(b)(9) of the Bankruptcy Code

and Bankruptcy Rule 3003(c)(3) Establishing the Deadline for Filing Proofs of Claim

(Including Claims Under Bankruptcy Code Section 503(b)(9)) and Procedures Relating
Thereto and Approving the Form and Manner of Notice Thereof (the “Bar Date Order”)

[ECF No. 4079], seeking entry of an order disallowing and expunging claim numbers

3128, 59632, 51094, 51092, 58984, 58985, 58983, and 58987, on the grounds that

adjudication of the On-Star Putative Class Claims fail to comply with Bankruptcy Rules

9014 and 7023, as more fully described in the Objection; and due and proper notice of the

Objection having been provided, and it appearing that no other or further notice need be

provided; and the Court having found and determined that the relief sought in the

Objection is in the best interests of the Debtors, their estates, creditors, and all parties in

interest and that the legal and factual bases set forth in the Objection establish just cause

for the relief granted herein; and after due deliberation and sufficient cause appearing

therefor, it is

                    ORDERED that the relief requested in the Objection is granted as

provided herein; and it is further

                    ORDERED that, pursuant to section 502(b) of the Bankruptcy Code, the

On-Star Putative Class Claims are disallowed and expunged in its entirety; and it is

further

                    ORDERED that the Debtors shall have no obligation to establish reserves

for claim numbers 3128, 59632, 51094, 51092, 58984, 58985, 58983, and 58987, for the

purposes of the confirmation of a chapter 11 plan or plans in these chapter 11 cases; and

it is further

                    ORDERED that this Court shall retain jurisdiction to hear and determine

all matters arising from or related to this Order .




US_ACTIVE:\43396757\13\72240.0639               2
Dated: New York, New York
       _____________, 2011


                                        United States Bankruptcy Judge




US_ACTIVE:\43396757\13\72240.0639   3

				
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