Case JMC-7A Doc Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 1 of 90. Exhibit A. [Class Action Settlement Agreement]

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1 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 1 of Exhibit A [Class Action Settlement Agreement]

2 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 2 of EXECUTION VERSION CLASS ACTION SETTLEMENT AGREEMENT THIS CLASS ACTION SETTLEMENT AGREEMENT (the Agreement ) is made this 18th day of December, 2017 by and among, on the one hand, Deborah J. Caruso, not individually but as the chapter 7 trustee for ITT Educational, Services, Inc., ESI Service Corp., and Daniel Webster College, Inc. (the Trustee ) and Jorge Villalba, James Eric Brewer, Joshua Cahill, Juan Hincapie, and Cheryl House, on behalf of themselves individually and the Settlement Class, as defined below (collectively, the Students ). The Trustee and the Students are referred to in this Agreement collectively as the Parties and each is a Party to this Agreement. Each reference in this Agreement to the Trustee or a pronoun referring to the Trustee shall be deemed to include the Debtors and the Estate (each defined below). RECITALS A. On September 16, 2016 (the Petition Date ), ITT Educational Services, Inc. ( ITT ), ESI Service Corp. ( ESI ), and Daniel Webster College, Inc. ( DWG, and together with ITT and ESI, the Debtors ) each filed a voluntary petition for relief under chapter 7 of the Bankruptcy Code (the Bankruptcy Case ). B. Prior to the Petition Date, ITT was a public, for-profit corporation engaged in the business of providing post-secondary degree programs in thirty-nine states and through on-line services. ESI and DWC are subsidiaries of ITT. C. Prior to the Petition Date, ITT loaned money to its students to finance their tuition and other charges and fees owed to ITT ( Student Receivables ). The Student Receivables are seller-financed debt and the Debtor s principal business was not the extension of credit. The Debtors contracted with University Accounting Services, EEC ( UAS ) to service certain of the Student Receivables. If a Student Receivable became delinquent, the Student Receivable would be placed with FirstSource Financial Solutions, Inc./One Advantage ( FirstSource ), Security Credit Systems, Inc., Premiere Credit NA, General Revenue Corporation, and any and all other credit agencies for collection. D. As of the Petition Date, there was approximately $30,000, in Student Receivables placed for servicing and/or collection with UAS, FirstSource, Security Credit Systems, Inc., Premiere Credit NA, General Revenue Corporation, and any and all other credit agencies for collection. In addition, ITT held, as of the Petition Date approximately $630,945, in additional Student Receivables which it had not placed with UAS and/or FirstSource or any other servicer or collection agency. Effective as of the date of this Agreement, ITT holds approximately $560,000,000 of Student Receivables (due to adjustments made and to be made to ITT s books and records relating to tax returns for ITT s 2016 fiscal year). The Students dispute the validity of all Student Receivables.

3 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 3 of SETTLEMENT AGREEMENT E. Also prior to the Petition Date, the Debtors had transferred title to certain Student Receivables to CU Connect CUSO, LLC, The Rochdale Group, Inc. and/or related credit unions (the CUSO Receivables ). The Debtors had also transferred title to certain other Student Receivables to PEAKS holders and/or related entities (the PEAKS Receivables ). The Students dispute the validity of the PEAKS Receivables and CUSO Receivables and the Other Receivables, as defined below. F. On November 1, 2016, the Trustee became the case trustee for each of the Debtors. G. On November 29, 2016, the United States Bankruptcy Court for the Southern District of Indiana (the Bankruptcy Court ) entered an Order Granting Trustee s Motion For An Order Pursuant To Sections 105(a), 363(b), 503(b), 506(a), And 704 Of The Bankruptcy Code Authorizing (I) Deposit of Student Loan Receivables Into A Segregated Account And (II) Payment Of Collection Fees From Receivables (Bankr. Dkt. 680). The November 29, 2016 Order authorized the Trustee to pay UAS and FirstSource the fees authorized under their respective agreements and further provided that the Trustee would establish a segregated account with the Bank of Texas into which all amounts collected on Student Receivables would be deposited ( Receivables Segregated Account ) less fees paid to UAS and FirstSource. The Trustee has caused to be deposited into the Receivables Segregated Account all collections of Student Receivables and will continue to deposit all future collections of Student Receivables into the Receivables Segregated Account. As of October 31, 2017, the Receivables Segregated Account holds $2,409, and the Trustee holds three additional, segregated accounts (the Additional Accounts ) in the amount of $378, and $11, for ESI and DWG, respectively, and an account Containing direct student payments to ITT in the amount of $43, H. On January 3, 2017, the Students filed a Class Action Adversary Complaint in the Bankruptcy Court, which case was docketed as Case No (the Lawsuit ). I. On January 3, 2017, the Students filed class proofs of claim which were docketed as Claim Nos. 284, 347 and 1285 against each of the Debtors. J. On January 30, 2017, the Bankruptcy Court held a hearing on the Students Motion Seeking Class Treatment of Student Creditors Claims and orally granted the Motion, which ruling was incorporated into an Order entered on the docket on February 2, 2017 (Bankr. Dkt. 1151). The Order ruled that Federal Rule of Bankruptcy Procedure 7023 applied to the proofs of claim filed by the Students and appointed Legal Services Center of Harvard Law School and Jenner & Block LLP as interim class counsel for the putative class pursuant to Fed. R. Bankr. P and Fed. R. Civ. P. 23(g)(3). Page 2

4 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 4 of SETTLEMENT AGREEMENT K. On January 30, 2017, the Students amended their class proofs of claim and the amended claims were docketed as Claim Nos. 424, 520 and 2383, each in the amount of $7.3 billion (the Proofs of Claim ). As part of this claim amount, the Proofs of Claim stated a priority under 11 U.S.C. 507(a) (7) in the amount of $114,000,000 (the Students Priority Claim ). L. In the Lawsuit and in the Proofs of Claim, the Students allege that Debtors violated various consumer protection statutes by engaging in deceptive practices, employing abusive, unfair and deceptive recruiting and retention strategies and financial aid practices, and by falsely obtaining accreditation. The Students further allege that Debtors breached their enrollment contracts with the Students by closing their operations before certain students in the Settlement Class could complete their educations and by denying students the benefit of promised post-graduation refresher courses and lifetime job placement assistance. The Students further allege that Debtors breached the covenants of fair dealing and good faith contained in the enrollment contracts and included unconscionable terms in the enrollment contracts. The Students sought, among other relief, damages including costs and attorney s fees, and an order enjoining the collection of all private student loans. M. After the Petition Date, the Bankruptcy Court approved the Trustee s Motion to Suspend Collection of Student Receivables and to Compensate Mark Huber for Services Related to Reconciling Student Receivables. This Order authorized the Trustee to direct collection agencies, including UAS, FirstSource, and others, to cease collection of Student Receivables placed for collection with such agencies. This Order also authorized the Trustee to retain Mr. Huber to reconcile the Student Receivables accounts and calculate a refund that will be remitted to students consistent with Section 6 herein. N. The Trustee has confirmed with each of the collection and servicing agents known by the Trustee to have been used by ITT that each has marked the Student Receivables as paid in full or has deleted the Student Receivables from the students records and files and the Trustee is advised that no further reporting is being made and no further reporting will be made in the future by such servicers or collection agencies to any credit bureaus, or otherwise, relating to Student Receivables owing to the Debtors. O. The Trustee, through counsel, has consulted with the Internal Revenue Service regarding whether ITT was an applicable entity and/or an applicable financial entity under Section 6050P(c) of the U.S. Internal Revenue Code of 1986, as amended. The Trustee intends to request a private letter ruling from the Internal Revenue Service on this question. Before submitting any materials to the Internal Revenue Service, the Trustee will provide drafts to putative class counsel at least fourteen (14) days before submission of the same to the Internal Revenue Service and will consult with putative class counsel about the drafts before their submission Page 3

5 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 5 of SETTLEMENT AGREEMENT to the Internal Revenue Service. The Students position is that because the Student Receivables are not valid obligations, there will be no forgiveness of indebtedness income as a result of the transactions contemplated by this Agreement. P. The Parties desire to resolve all disputes between them without further expense and litigation. NOW, THEREFORE, in consideration of the above promises and the mutual covenants of the Parties to be faithfully performed, and other good and valuable consideration, the receipt and sufficiency of which is hereby acknowledged, the Trustee and the Students, intending to be legally bound, agree as follows: 1. DEFINITIONS In addition to the terms defined above and elsewhere in this Agreement, as used in this Agreement: 1.1 Class Counsel means the Legal Services Center of Harvard Law School and Jenner & Block LLP. 1.2 Class Representatives means Jorge Villalba, James Eric Brewer, Joshua Cahill, Juan Hincapie, and Cheryl House. 1.3 Effective Date means the date on which the Approval Order is a Final Order. 1.4 Estate means each of the chapter 7 bankruptcy estates of each of the Debtors. 1.5 Execution Date means the date on which all signatories have signed the Agreement in accordance with Section Final Approval Order means the Final Order approving this Agreement in the form of Exhibit 1 hereto. 1.7 Final Order means an order that is no longer subject to appeal or certiorari proceedings. 1.8 Preliminary Approval Order means the Order provided for in Section 3.1 of this Agreement in the form of Exhibit 2 hereto. 1.9 Proofs of Claim means Claim Nos. 424, 520 and Student Proofs of Claim means the proofs of claim filed by individual students who are members of the Settlement Class, as set forth on Page 4

6 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 6 of SETTLEMENT AGREEMENT Exhibit 3 hereto and incorporated by reference, to the extent that such proofs of claim are encompassed by the class proofs of claim, as described in Recital M. For the avoidance of doubt, Student Proofs of Claim does not mean proofs of claim filed by individual students asserting a claim based on dishonored checks issued by ITT to students for, among other similar reasons, Title IV funds including Pell grants, student aid funds administered by the Department of Education, or state-based student aid funds that were in excess of the tuition owed by the student for completed semesters but were disbursed to ITT by the state, federal government, or other entity with the intention that ITT act as a pass-through and disburse the funds to the students ( Pass-Through Proofs of Claim ). The Parties acknowledge that Paula Suite, Freddie Lewis, Ralph Kyle Williams, and Damien R. Dietterick have filed Pass-Through Proofs of Claim and that there may be other Pass-Through Proofs of Claim that have not yet been identified as such by the Parties Settlement Class means all individuals who were at any time enrolled in any of the programs offered by the Debtors between January 1, 2006 and the Petition Date. 2. INCORPORATION OF RECITALS The foregoing recitals are incorporated into and are made a part of this Agreement. 3. CERTIFICATION OF SETTLEMENT CLASS AND CLASS COUNSEL AND SETTLEMENT APPROVAL. 3.1 Preliminary Approval. Promptly after the Execution Date, the Trustee and Class Representatives shall move the Bankruptcy Court for entry of a Preliminary Approval Order. The Preliminary Approval Order will certify the Settlement Class, appoint Class Counsel for the Settlement Class, and include, among other things: Approval of a notice program to include the Trustee sending mailed notices [in the form of Exhibit 4 hereto] to those former students who filed Student Proofs of Claim, those former students who are listed as account debtors on the accounts placed for servicing or collection with UAS, FirstSource, Security Credit Systems, Inc., Premiere Credit NA, General Revenue Corporation, and any and all other credit agencies for collection and who have made payments on account of such accounts since the Petition Date, and to those parties who have requested that they receive notice, and providing publication notice. The notice shall, among other things, advise all Students receiving notice that they should Page 5

7 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 7 of SETTLEMENT AGREEMENT immediately cease making any payments on account of the Student Receivables; A preliminary finding that the settlement is fair, reasonable, adequate and within the range of possible approval; A date for the final approval hearing that complies with the notice requirements of 28 U.S.C. 1715(d); Approval of those actions required by this Agreement to take place before the entry of the Final Approval Order; and A procedure for Settlement Class members to object to the settlement and to opt out of the Settlement Class Authorization for the Trustee to the return all funds in the Receivables Segregated Account and the Additional Accounts, consistent with Section 6 herein to the students who made such payments to ITT, UAS, FirstSource, Security Credit Systems, Inc., Premiere Credit NA, General Revenue Corporation, and any and all other credit agencies, as the case may be. 3.2 Final Approval Order. The Final Approval Order shall provide for, among other things: Approval of this Agreement as fair, reasonable, adequate, and within the range of possible approval under the standards developed under Rules 19 and 7023 of the Federal Rules of Bankruptcy Procedure and Rule 23(g) of the Federal Rules of Civil Procedure; Allowance of each of the Proofs of Claim against each of the Debtor Estates in the amount of $1,500,000,000, which allowance shall be as a pre-petition general, unsecured claim no longer subject to objection or challenge, but subject to adjustments as set forth in Section 5 herein, and that the Students Priority Claim is disallowed with prejudice. The Final Approval Order shall provide that the Bankruptcy Court shall retain authority over the division of any distributions made on account of the Proofs of Claim. The Class Representatives shall promptly file a proposed division of any such distributions upon notification from the Trustee of the likely amount of funds to be paid on account of the Proofs of Claim; Page 6

8 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 8 of SETTLEMENT AGREEMENT Disallowance with prejudice of the Student Proofs of Claim. If the holder of a Student Proof of Claim listed on Exhibit 3 opts out of the Settlement Class (each, an Opt Out Claim ), such holder s Student Proof of Claim shall not be disallowed and instead the Bankruptcy Court will determine the allowability of such holder s Student Proof of Claim as part of the normal procedures for resolving proofs of claim. Nothing in this Settlement Agreement controls the allowability of a Pass-Through Proof of Claim; The Trustee (i) agrees that she will not, on her behalf or on behalf of the Debtors estates, recover, collect, or enforce any (a) Student Receivables, (b) CUSO Receivables or PEAKS Receivables that, pursuant to an order entered by the Bankruptcy Court, are transferred or returned to the Trustee (a PEAKS/CUSO Transfer Order ), and (c) other receivables owed by former students of the Debtors that are transferred or returned to the Trustee that are not CUSO Receivables or PEAKS Receivables ( Other Receivables ); and (ii) agrees to a permanent injunction enjoining the collection, assignment or transfer of the Student Receivables and the Other Receivables, and the collection, assignment or transfer of any CUSO Receivables or PEAKS Receivables that, pursuant to a PEAKS/CUSO Transfer Order, are transferred or returned to the Trustee; A provision that provides that nothing set forth in the Preliminary Approval Order, the Final Approval Order or the Settlement Agreement in any manner whatsoever waives, releases or otherwise affects the Debtors and/or the Trustee s claims, rights, remedies and/or causes of action of every type and nature whatsoever ( Rights ) under or related to the CUSO Receivables, the PEAKS Receivables, any documents or agreements between the Debtors and PEAKS or CUSO, and/or other documents or agreements otherwise related thereto, and all such Rights shall be fully reserved; and A provision that provides that nothing set forth in the Preliminary Approval Order, the Final Approval Order or the Settlement Agreement in any manner waives, releases, limits or otherwise affects claims of the Settlement Class against the Department of Education or the existence or valuation of any claim the Department of Education may assert against Debtors. Page 7

9 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 9 of SETTLEMENT AGREEMENT 3.3 The Settlement Effective Date shall occur on the date on which all of the following conditions have been met or, if applicable, have been waived: The Bankruptcy Court shall have entered the Preliminary Approval Order; The Trustee shall have returned all funds in the Receivables Segregated Account and the Additional Accounts, consistent with Section 6 herein to the students who made such payments to ITT, UAS, FirstSource, Security Credit Systems, Inc., Premiere Credit NA, General Revenue Corporation, and any and all other credit agencies, as the case may be Prior to the entry of the Final Approval Order, the Trustee shall have received a private letter ruling from the Internal Revenue Service, in form and substance acceptable to the Trustee, indicating that ITT was not an applicable entity and/or an applicable financial entity under Section 6050P(c) of the U.S. Internal Revenue Code of 1986, as amended, or receives a determination from the Internal Revenue Service declining to issue a private letter ruling, so as to allow the Trustee to determine in her sole discretion whether she, on behalf of the Debtors, is required to issue Forms 1099-C to Students in connection with the Settlement Agreement. Promptly upon receiving the private letter ruling or a determination that the private letter ruling will not be issued, the Trustee shall notify putative class counsel of her decision regarding the issuance of Forms 1099-C to Students. In the event that the Trustee decides that she will issue Forms 1099-C to Students upon consummation of the transactions set forth in this Agreement, the Students, may, in their sole discretion, elect whether to proceed with the Agreement or to terminate the Agreement and shall promptly notify the Trustee of such decision The Bankruptcy Court shall have entered the Final Approval Order The Final Approval Order shall have become a Final Order The Trustee shall have given notice in accordance with 28 U.S.C The Final Approval Order shall contain a provision which declares that all Student Receivables, all Other Receivables that are transferred or returned to the Trustee, and all CUSO Receivables or Page 8

10 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 10 of SETTLEMENT AGREEMENT 4. RELEASES PEAKS Receivables that, pursuant to a PEAKS/CUSO Transfer Order, are transferred or returned to the Trustee, have been fully satisfied and are no longer due and owing. For the avoidance of doubt, the Trustee shall not possess or control, or be deemed to possess or control, CUSO Receivables, or PEAKS Receivables except as may be set forth in a PEAKS/CUSO Transfer Order The Students shall have voluntarily dismissed the Lawsuit. 4.1 Release By The Settlement Class. Except for the rights, duties, and obligations created by this Agreement, effective upon the Settlement Effective Date, the Settlement Class hereby releases and discharges the Trustee, as Trustee and in her individual capacity, all professionals engaged by the Trustee either on her behalf or on behalf of the Debtors estates, and their heirs, successors and assigns thereof, from any and all claims, demands, obligations, damages, action, or causes of action, in law or in equity, whether sounding in tort or contract, or based on federal or state law, and whether known or unknown, which the Settlement Class has or may have against the Trustee for any reason whatsoever existing prior to or as of the Settlement Effective Date. Notwithstanding anything to the contrary in the foregoing, nothing in this Release (i) releases the Proofs of Claim or (ii) prohibits or prevents the Settlement Class or Class Representatives from participating in the Debtor s bankruptcy cases or exercising their standing as creditors of the Estate or (iii) prohibits or prevents the Settlement Class or Class Representatives or Class members from asserting any rights, claims or defenses against third parties, including but not limited to, the Department of Education, the directors and officers of the Debtors, and any other entity that is not the Trustee and her successors. 4.2 Trustee s Release. Except for the rights, duties, and obligations created by this Agreement, effective upon the Settlement Effective Date, the Trustee on behalf of herself and the Debtors hereby releases and discharges the Settlement Class and all professionals engaged by or on behalf of the Settlement Class, and their heirs, successors, and assigns from any and all claims, demands, obligations, damages, action, or causes of action, in law or in equity, whether sounding in tort or contract, or based on federal or state law, and whether known or unknown, which the Trustee has or may have against the Settlement Class for any reason whatsoever existing prior to or as of the Settlement Effective Date. 4.3 Unknown Claims. The releases provided for in this Agreement extend to Claims that the Parties do not know or suspect to exist at the time of the Page 9

11 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 11 of SETTLEMENT AGREEMENT release, which if known, might have affected the decision to enter into the release ( Unknown Claims ). In releasing their Unknown Claims, the Parties expressly waive and (and each Settlement Class member by operation of law shall be deemed to waive) any and all protections, provisions, rights and benefits conferred by any law of the United States or any state or territory of the United States, or principle of common law, which governs or limits a person s release of Unknown Claims, including Section 1542 of the California Civil Code. Section 1542 of the California Civil Code provides: A GENERAL RELASE DOES NOT EXTEND TO CLAIMS WHICH THE CREDITOR DOES NOT KNOW OR SUSPECT TO EXIST IN HIS OR HER FAVOR AT THE TIME OF EXECUTING THE RELEASE, WHICH IF KNOWN BY HIM OR HER MUST HAVE MATERIALLY AFFECTED HIS OR HER SETTLEMENT WITH THE DEBTOR. The Parties acknowledge and understand (and each Settlement Class member by operation of law shall be deemed to acknowledge) the significance of these waivers of California Civil Code Section 1542 and/or of any other applicable law relating to limitations on releases of Unknown Claims. In connection with such waivers and relinquishment, the Parties acknowledge (and each Settlement Class member by operation of law shall be deemed to acknowledge) that they are aware that they may hereafter discover facts in addition to, or different from, those facts which they now know or believe to be true with respect to the subject matter of the Agreement, but that they release fully, finally and forever all released Claims, an in furtherance of such intention, the release will remain in effect notwithstanding the discovery or existence of any such additional or different facts. The Parties acknowledge (and all Class members by operation of law shall be deemed to acknowledge) that the release of Unknown Claims as set forth herein was separately bargained for and was key element of the Settlement. 5. ADJUSTMENT OF PROOFS OF CLAIM 5.1 Proofs of Claim Adjustment. If the Department of Education discharges, forgives or cancels all or any part of the Settlement Class federal student loans or any such loan is otherwise forgiven or deemed paid ( Cancellation ) as a result of any lawsuit or proceedings initiated by the Class Representatives, individual class members, Attorneys General (or Page 10

12 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 12 of SETTLEMENT AGREEMENT boards of higher education and related state agencies), state or federal regulatory agencies or the Trustee, and such Cancellation occurs prior to the time that the Trustee closes the Debtors bankruptcy cases, then the allowed amount of the Proofs of Claim ($1,500,000,000) shall be reduced dollar for dollar in the amount of such Cancellation; provided that the Proofs of Claim shall not be reduced below the amount of $1,099,896,000 on account of Cancellation. If no discharge or Cancellation of the federal student loans has occurred by the time the Trustee closes the Debtors bankruptcy cases, then the Proofs of Claim amount shall not be adjusted below $1,500,000,000. The Trustee shall have the right to terminate this Agreement if the allowed Opt Out Claims exceed Two Hundred and Fifty Million Dollars ($250,000,000.00). The Trustee agrees that, before terminating the Agreement, she will review the Opt Out Claims and that she will file and prosecute objections to those Opt Out Claims that in her reasonable business judgment are subject to disallowance or reduction. 6. RETURN OF RECEIVABLES ESCROW ACCOUNT Promptly upon entry of the Preliminary Approval Order, the Trustee shall return all funds in the Receivables Segregated Account and the Additional Accounts and any other funds which come into her possession or control that are received from students to the student who made such payment. The amount returned shall be reduced, pro rata, by the amount deducted from the aggregate of such payments by the collection agencies, including UAS, FirstSource, Security Credit Systems, Inc., Premiere Credit NA, General Revenue Corporation, and reasonable administrative cost associated with returning the funds. The reasonable cost of returning the funds shall be deducted from the Receivables Segregated Account and the Additional Accounts, provided that the Trustee shall use her reasonable best efforts to minimize the cost of returning the funds, and shall consult with the Class Counsel about the costs throughout the process. The Students dispute the validity of all Student Receivables. The Trustee s refund of the monies in the Receivables Segregated Account and the Additional Accounts does not acknowledge validity of the Student Receivables. 7. REPRESENTATIONS AND WARRANTIES The Parties hereby represent and warrant to each other the following, each of which is a continuing representation and warranty: 7.1 Each of the Parties hereto is the sole and lawful owner of all right, title, and interest in and to every claim and other matter purported to be released herein. None of the Parties has assigned or transferred, or Page 11

13 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 13 of SETTLEMENT AGREEMENT purported to assign or transfer, to any person or entity any claims or other matters herein released. 7.2 Except as otherwise expressly provided in this Agreement, no consent or approval is required by any other person or entity (other than the Bankruptcy Court) in order for the Parties to carry out the provisions of this Agreement and the Parties (subject to approval of the Bankruptcy Court) have obtained all necessary approvals to enter into and perform the obligations under this Agreement. 7.3 The Trustee agrees that prior to the Settlement Effective Date, she shall not sell, assign, transfer, pledge, collect, or in any way dispose of, in whole or in part, any or all of the Student Receivables or Other Receivables. The Trustee agrees that prior to the Settlement Effective Date, she shall not sell, assign, transfer, pledge, collect, or in any way dispose of, in whole or in part, any or all of any CUSO Receivables or PEAKS Receivables that, pursuant to a PEAKS/CUSO Transfer Order, that are transferred or returned to the Trustee. On the Settlement Effective Date, (a) all Student Receivables, (b) all Other Receivables, and (c) all CUSO Receivables or PEAKS Receivables that, pursuant to a PEAKS/CUSO Transfer Order, that are transferred or returned to the Trustee, shall be deemed fully satisfied and no longer due and owing. In the event that after the Settlement Effective Date any or all of any (a) Other Receivables, or (b) CUSO Receivables or PEAKS Receivables, that pursuant to a PEAKS/CUSO Transfer Order, are transferred or returned to the Trustee, such CUSO Receivables or PEAKS Receivables or Other Receivables shall be deemed fully satisfied and no longer due and owing. For the avoidance of doubt, the Trustee shall not possess or control, or be deemed to possess or control CUSO Receivables or PEAKS Receivables except as may be set forth in a PEAKS/CUSO Transfer Order. 7.4 Each of the Parties has received, or has had the ability to obtain, independent legal advice from attorneys of their choice with respect to the advisability of making the agreements provided herein and with respect to the advisability of executing this Agreement. 7.5 Except as otherwise expressly stated in this Agreement, the Parties have not made any statement or representation to the other regarding any facts relied upon by them in entering into this Agreement, and each of them specifically does not rely upon any statement, representation or promise of the other Party or any other person in entering into this Agreement, except as expressly stated in this Agreement. Each Party has relied upon its own investigation and analysis of the facts and not on any statement or Page 12

14 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 14 of SETTLEMENT AGREEMENT representation made by any other Party in choosing to enter into this Agreement and the transactions contemplated herein. 7.6 The Parties and their respective attorneys have made such investigation of the facts pertaining to this Agreement and all of the matters pertaining thereto, as they deem necessary. 8. BANKRUPTCY COURT APPROVAL 8.1 Approval. This Agreement is subject to and conditioned upon the entry of the Preliminary Approval Order and Final Approval Order by the Bankruptcy Court. 8.2 Return To Status Quo Ante. If the Bankruptcy Court does not enter the Preliminary Approval Order or the Final Approval Order or any of the other conditions to the Settlement Effective Date are not met or the Students elect to terminate this Agreement pursuant to Section or the Trustee elects to terminate this Agreement pursuant to Section 5.2, this Agreement shall be of no further force and effect and the parties shall be returned to status quo ante as of the date of this Agreement, as if no Agreement had been negotiated or executed. Moreover, the Parties shall be deemed to have preserved all of their rights and defenses of any kind that they may have had against any person. 8.3 Cooperation And Bests Efforts. The Parties agree to support the entry of the Preliminary Approval Order and the Final Approval Order and to use their reasonable best efforts to cause the Bankruptcy Court to enter the Preliminary Approval Order and the Final Approval Order. The Parties further agree not to cause any other person or entity to object to or otherwise oppose the entry of the Preliminary Approval Order and Final Approval Order. Each of the Parties shall promptly and in good faith execute all documents and perform all acts necessary and proper to effectuate the terms of this Agreement; provided, however, that nothing in this paragraph requires either Party to waive any of the conditions to the Settlement Effective Date. The Trustee shall provide putative class counsel with copies of all materials that she intends to submit to the Internal Revenue Service in support of her request for a private letter ruling fourteen (14) days prior to their submission to the Internal Revenue Service so as to allow putative class counsel the reasonable opportunity to review and comment on such submissions. The Trustee shall provide putative class counsel with a copy of the actual submission and all material correspondence with the Internal Revenue Service. Page 13

15 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 15 of SETTLEMENT AGREEMENT 9. MISCELLANEOUS 9.1 Entire Agreement, Amendments, and Waivers. This Agreement constitutes and contains the entire agreement between the Parties and supersedes any and all prior negotiations, conversations, correspondence, understandings, and letters respecting the settlement of the Lawsuit. This Agreement may be amended or modified or one or more provisions hereof waived only by a written instrument signed by the Parties. No delay or omission by any party in exercising any right or power arising from any default by the other party shall be construed as a waiver of such default, nor shall any single or partial exercise thereof preclude any further exercise thereof or the exercise of any other right or power arising from any default by a party. No waiver of any breach of any covenant or other condition shall be construed to be a waiver of or consent to any previous or subsequent breach of the same or of any other covenant or condition. 9.2 PEAKS Receivables and CUSO Receivables. By entering into this Agreement, the Trustee, on her behalf and on behalf of the Debtors and their estates, does not waive, release or otherwise compromise in any manner whatsoever, the Debtors, their estates or the Trustee s Rights under or related to the PEAKS Receivables, the CUSO Receivables, any documents or agreements between the Debtors and PEAKS or CUSO and/or any other documents or agreements otherwise related thereto and all such Rights shall be fully reserved. 9.3 Department of Education. Nothing set forth in the Preliminary Approval Order, the Final Approval Order or the Settlement Agreement in any manner waives, releases, limits or otherwise affects claims of the Settlement Class against the Department of Education or the existence or valuation of any claim the Department of Education may assert against Debtors. 9.4 Captions. The captions to this Agreement are for convenience only and are to be of no force or effect in construing and interpreting the provisions of this Agreement. 9.5 Jurisdiction, Governing Law. This Agreement is made and entered into in the State of Indiana and shall, in all respects, be interpreted, enforced and governed by the laws of the State of Indiana, without regard to choice of law principles. The Parties further agree that any dispute arising out of this Agreement shall be adjudicated in the Bankruptcy Court. 9.6 Notices. Any notice required or permitted under this Agreement shall be given in writing and shall be sent to the following Parties via electronic mail with a copy sent by overnight mail or hand delivery: Page 14

16 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 16 of SETTLEMENT AGREEMENT To the Settlement Class: Eileen M. Connor Legal Services Center of Harvard Law School 122 Boylston Street Jamaica Plain, MA and Catherine Steege Jenner & Block LLP 353 N. Clark Street Chicago, IL enner.com To the Trustee: Jeff J. Marwil Proskauer Three First National Plaza 70 West Madison Chicago, IL No Party Deemed Drafter. The Parties shall jointly be deemed to be the drafters of this Agreement; the rule that any ambiguity in a contract shall be construed against the drafter of the contract shall not apply to this Agreement. 9.8 Voluntary Settlement. The Parties acknowledge and agree that each of them is entering into this Agreement freely and voluntarily and not acting under any misapprehension as to the effect hereof, and has acted and does hereby act freely and voluntarily and not under any coercion or duress. 9.9 No Mistake of Fact or Law. In entering into this Agreement, each Party recognizes that no facts or representations are ever absolutely certain. Accordingly, each Party assumes the risk of any mistake, and if it should subsequently discover that any understanding of the facts or of the law was incorrect, each Party understands and expressly agrees that it shall not be entitled to set aside this Agreement by reason thereof, regardless of any mistake of fact or law. Page 15

17 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 17 of SETTLEMENT AGREEMENT 9.10 Binding Agreement. This Agreement is binding upon and shall inure to the benefit of the Parties hereto and their respective heirs, executors, administrators, personal representatives, predecessors, successors, and assigns Counterparts. This Agreement may be executed in multiple counterparts and by facsimile and/or by , and all executed counterparts together shall constitute the original instrument. Faxed or ed signatures shall be binding Settlement of Disputed Claims. The Parties hereby agree that the settlement of the Lawsuit and the Trustee s claims against members of the Settlement Class to collect the Student Receivables are contested liabilities and are made in good faith. Page 16

18 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 18 of SETTLEMENT AGREEMENT IN WITNESS WHEREOF the Parties have caused this Agreement to be executed on the respective dates hereinafter set forth. - ( J ^ ^ y,! n i jtr T DEBORAH X JCARUSO, hotincfividually JORGE VILLALBA but as Trustee for ITT Educational Services, Inc., ESI Service Coip., and Daniel Webster Date: College, Inc. Date: \^ \r JAMES ERIC BREWER Date: JOSHUA CAHILL Date: JUAN HINCAPIE CHERYL HOUSE

19 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 19 of SETTLEMENT AGREEMENT IN WITNESS WHEREOF the Parties have caused this Agreement to be executed on the respective dates hereinafter set forth. DEBORAH J. CARUSO, not individually JORGE VILLALBA but as Trustee for ITT Educational Services, Inc., ESI Service Corp., and Daniel Webster Date: College, Inc. Date: JAMES ERIC BREWER Date: shu& ahill Date: 2^ (7 b.<l-ld JUAN HINCAPIE CHERYL HOUSE Date: Date: Page 17

20 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 20 of SETTLEMENT AGREEMENT IN WITNESS WHEREOF the Parties have caused th is Agreement to be executed on the respective dates hereinafter set forth. DEBORAH J. CARUSO, not individually but as Trustee for ITT Educational Services, Inc., ESI Service Corp., and Daniel Webster College, Inc. JORGE VILLALBA Date: Date: l ~ i <1. JAMES ERIC BREWER Date: JOSHUA CAHILL Date: JUAN HINCAPIE Date: CHERYL HOUSE Date: Page 17

21 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 21 of SETTLEMENT AGREEMENT IN WITNESS WHEREOF the Parties have caused this Agreement to be executed on the respective dates hereinafter set forth. DEBORAH J. CARUSO, not individually JORGE VILLALBA but as Trustee for ITT Educational Services, Inc., ESI Service Corp., and Daniel Webster Date: College, Inc. Date: JAMES ERIC BREWER Date: iii JAN HENCAPIE 0** MhM? JOSHUA CAHILL Date: CHERYL HOUSE Date: Page 17

22 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 22 of SETTLEMENT AGREEMENT IN WITNESS WHEREOF the Parties have caused this Agreement to be executed on the respective dates hereinafter set forth. DEBORAH J. CARUSO, not individually but as Trustee for ITT Educational Services, Inc., ESI Service Corp., and Daniel Webster College, Inc. Date: JAMES ERIC BREWER JOSHUA CAHILL Date: Date: JUAN fflncahe ' CHERYL HOUSE Date:. Date: Page 17

23 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 23 of DEBORAH J. CARUSO, not individually JORGE VILLALBA but as Trustee for ITT Educational Services, Inc., ESI Service Coip., and Daniel Webster Date:.y, College, Inc. Date:-' - ' J JAMES ERIC BREWER Date: JOSHUA CAHILL Date: JUAN HNCAPIE Date: Date: u2 L

24 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 24 of Exhibit 1 (Final Approval Order)

25 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 25 of UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF INDIANA INDIANAPOLIS DIVISION In re: Chapter 7 ITT EDUCATIONAL SERVICES, INC., ESI SERVICE CORP., and DANIEL WEBSTER COLLEGE, INC., Case No JMC-7A Jointly Administered JORGE VILLALBA, JAMES ERIC BREWER, JOSHUA CAHILL, JUAN HINCAPIE, and CHERYL HOUSE, on their own behalf and on behalf of all other persons similarly situated, ITT EDUCATIONAL SERVICES, INC., ESI SERVICE CORP., and DANIEL WEBSTER COLLEGE, INC., Plaintiffs, Adv. Proc. No v. Defendants. / FINAL APPROVAL ORDER Upon the joint motion (the Motion )1 [Doc No. ] of Deborah J. Caruso, the chapter 7 trustee in the above-captioned cases (the Trustee ) for ITT Educational Services, 1 Capitalized terms used but not defined herein have the meanings given to them in the Settlement Agreement.

26 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 26 of Inc., ESI Service Corp. and Daniel Webster College, Inc. (the Debtors! and Jorge Villalba, James Eric Brewer, Joshua Cahill, Juan Hincapie and Cheryl House, on their own behalf and on behalf of all individuals who were at any time enrolled in any of the programs offered by the Debtors between January 1, 2006 and September 16, 2016 (the Students and together with the Trustee, the Parties! for entry of an Order: (a) approving a proposed Settlement Agreement, a copy of which is annexed hereto as Exhibit 1, by and among the Trustee and the Students (the Settlement Agreement! and (b) granting the relief, all as more fully set forth in the Motion, and after due deliberation, it is HEREBY FOUND AND ORDERED THAT: 1. The Motion is granted as set forth herein. The Trustee is hereby authorized and directed to take all actions required under the Settlement Agreement and all such actions are hereby approved. 2. Pursuant to the standards set forth under Rules 19 and 7023 of the Federal Rules of Bankruptcy Procedure and Rule 23(g) of the Federal Rules of Civil Procedure, the Court finds that the proposed Settlement Agreement is fair, reasonable, adequate, and within the range of reasonable settlements. 3. The Court hereby allows Claims Nos. 424, 520 and 2383 (the Proofs of Claim ) against each of the Debtor Estates each in the amount of $1,500,000,000.00, which allowance shall be as a pre-petition general, unsecured claim no longer subject to objection or challenge. The Proofs of Claim shall be subject to the following adjustment. If the Department of Education discharges, forgives or cancels all or any part of the Settlement Class (as defined in the Settlement Agreement) federal student loans or any such loan is otherwise forgiven or deemed paid (' Cancellation ) as a result of any lawsuit or proceedings initiated by the Class Representatives (as defined in the Settlement Agreement), individual class members, 2

27 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 27 of Attorneys General (or boards of higher education and related state agencies), state or federal regulatory agencies or the Trustee, and such Cancellation occurs prior to the time that the Trustee closes the Debtors bankruptcy cases, then the allowed amount of the Proofs of Claim ($1,500,000,000) shall be reduced dollar for dollar in the amount of such Cancellation; provided that the Proofs of Claim shall not be reduced below the amount of $ 1,099,896,000 on account of such Cancellation. If no discharge or Cancellation of the federal student loans has occurred by the time the Trustee closes the Debtors bankruptcy cases, then the Proofs of Claim amount shall not be adjusted below $1,500,000,000. The Trustee shall have the right to terminate the Proposed Settlement Agreement if the allowed Opt Out Claims (as defined in the Settlement Agreement) exceed Two Hundred and Fifty Million Dollars ($250,000,000.00). However, before terminating the Settlement Agreement, the Trustee shall review the Opt Out Claims and file and prosecute objections to those Opt Out Claims that in her reasonable business judgment are subject to disallowance or reduction. 4. The Students Priority Claim (as defined in the Settlement Agreement) shall be disallowed with prejudice. 5. The Court hereby permanently enjoins the collection, assignment or transfer of the Student Receivables (as defined in the Settlement Agreement) and the Other Receivables (as defined in the Settlement Agreeement), and the collection, assignment or transfer of any CUSO Receivables or PEAKS Receivables (each as defined in the Settlement Agreement) that, pursuant to a PEAKS/CUSO Transfer Order (as defined in the Settlement Agreement), are transferred or returned to the Trustee. For the avoidance of doubt, the Trustee shall not possess or control, or be deemed to possess or control, CUSO Receivables, or PEAKS Receivables, except as may be set forth in a PEAKS/CUSO Transfer Order. 3

28 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 28 of 6. The Court retains authority over the division of any distributions made on account of the Proofs of Claim, and the Class Representatives shall promptly file a proposed division of any such distributions upon notification from the Trustee of the likely amount of funds to be paid on account of the Proofs of Claim. 7. The Student Proofs of Claim set forth on Exhibit 2 hereto are hereby disallowed with prejudice. If the holder of a Student Proof of Claim listed on Exhibit 3 to the Proposed Settlement Agreement opts out of the Settlement Class (each, an Opt Out Claim), such holder s Student Proof of Claim shall not be disallowed and instead the Court will determine the allowability of such holder s Student Proof of Claim as part of the normal procedures for resolving proofs of claim. For the avoidance of doubt, nothing in the Proposed Settlement Agreement controls the allowability of a Pass-Through Proof of Claim (as defined in the Proposed Settlement Agreement) and the holders of Pass-Through Proofs of Claim are not part of the Settlement Class with respect to their Pass-Through Proofs of Claim and such Pass- Through Proofs of Claim are not Opt-Out Claims. 8. Nothing set forth in the Court s Order [Doc. No. ] (the Preliminary Approval Order ), this Order, or the Proposed Settlement Agreement in any manner whatsoever waives, releases, limits or otherwise affects: (a) the Debtors and/or the Trustee s claims, rights, remedies and/or causes of action of every type and nature whatsoever ( Rights ) under or related to the CUSO Receivables, the PEAKS Receivables, any documents or agreements between the Debtors and PEAKS or CUSO, and/or other documents or agreements otherwise related thereto, and all such Rights shall be fully reserved; or (b) claims of the Settlement Class against the Department of Education or the existence or valuation of any claim the Department of Education may assert against Debtors. 4

29 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 29 of 9. The above-captioned adversary proceeding, Adv. Proc. No is hereby dismissed with prejudice. 10. Notwithstanding Bankruptcy Rule 6004(h), the terms and conditions of this Order will be immediately effective and enforceable upon its entry. 11. This Court shall retain jurisdiction to interpret, implement and enforce the terms of this Order. ### 5

30 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 30 of Exhibit 2 (Preliminary Approval Order)

31 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 31 of UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF INDIANA INDIANAPOLIS DIVISION In re: Chapter 7 ITT EDUCATIONAL SERVICES, INC., ESI SERVICE CORP., and DANIEL WEBSTER COLLEGE, INC., / Debtor. JORGE VILLALBA, JAMES ERIC BREWER, JOSHUA CAHILL, JUAN HINCAPIE, and CHERYL HOUSE, on their own behalf and on behalf of all other persons similarly situated. Case No JMC-7A Jointly Administered ITT EDUCATIONAL SERVICES, INC., ESI SERVICE CORP., and DANIEL WEBSTER COLLEGE, INC., Plaintiffs, Adv. Proc. No v. Defendants. / PRELIMINARY APPROVAL ORDER Upon the joint motion (the Motion ')1 [Doc No. ] of Deborah J. Caruso, the chapter 7 trustee in the above-captioned cases (the Trustee! for ITT Educational Services, 1 Capitalized terms used but not defined herein have the meanings given to them in the Proposed Settlement Agreement.

32 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 32 of Inc., ESI Service Corp. and Daniel Webster College, Inc. (the Debtors ^, and Jorge Villalba, Janies Eric Brewer, Joshua Cahill, Juan Hincapie and Cheryl House, on their own behalf and on behalf of all individuals who were at any time enrolled in any of the programs offered by the Debtors between January 1, 2006 and September 16, 2016 (the Students and together with the Trustee, the Parties ), for entry of an Order: (a) approving a proposed Settlement Agreement, a copy of which is annexed hereto as Exhibit 1, by and among the Trustee and the Students (the Proposed Settlement Agreement ): and (b) granting the relief, all as more fully set forth in the Motion, and after due deliberation, it is HEREBY FOUND AND ORDERED THAT: 1. The Motion is granted as set forth herein. The Trustee is hereby authorized and directed to take all of those actions required to be done under the Proposed Settlement Agreement before the entry of the Final Approval Order and all such actions are hereby approved. 2. The Court hereby certifies this matter as a class action pursuant to Rules 23(a) and (b)(2) of the Federal Rules of Civil Procedure and Rule 7023 of the Federal Rules of Bankruptcy Procedure, which the Court deems applicable, pursuant to Rule 14 of the Federal Rules of Bankruptcy Procedure, to the Debtors chapter 7 cases and this proceeding, with a certified class ( Settlement Class ) defined as all individuals who were at any time enrolled in any of the programs offered by the Debtors between January 1, 2006 and September 16, 2016 (the Petition Date ). The Settlement Class does not include the claims of individual students asserting a claim based on dishonored checks issued by ITT to students for, among other similar reasons. Title IV funds including Pell grants, student aid funds administered by the Department of Education, or state-based student aid funds that were in excess of the tuition owed by the student for completed semesters but were disbursed to ITT by the state, federal government, or 2

33 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 33 of other entity with the intention that ITT act as a pass-through and disburse the funds to the students ( Pass-Through Proofs of Claim!. The Settlement Class is certified in the abovecaptioned adversary proceeding and in the Debtors chapter 7 cases. 3. The Court hereby designates Jorge Villalba, James Eric Brewer, Joshua Cahill, Juan Hincapie and Cheryl House as the representatives of the Settlement Class. 4. The Court hereby appoints the Legal Services Center of Harvard Law School and Jenner & Block LLP as Class Counsel. 5. Within days of this Order, the Trustee shall seek a private letter ruling from the Internal Revenue Service indicating that ITT is not an applicable entity and/or an applicable financial entity under Section 6050P(c) of the U.S. Internal Revenue Code of 1986, as amended. Before submitting any materials to the Internal Revenue Service, the Trustee will provide Class Counsel with the draft of the submission at least fourteen (14) days before the submission of the same to the Internal Revenue Service. Promptly upon receiving the private letter ruling or a determination that the private letter ruling will not be issued, the Trustee shall notify Class Counsel of her decision regarding the issuance of Forms 1099-C to the Students. In the event that the Trustee decides that she will issue Forms 1099-C to the Students upon consummation of the transactions set forth in the Proposed Settlement Agreement, the Students, may, in their sole discretion, elect whether to proceed with the Proposed Settlement Agreement or to terminate the Proposed Settlement Agreement and shall promptly notify the Trustee of such decision. The Students position is that, for among other reasons, because the Student Receivables are not valid obligations, there will be no forgiveness of indebtedness income as a result of the transactions contemplated by the Proposed Settlement Agreement. 3

34 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 34 of 6. Pursuant to the standards set forth under Rules 19 and 7023 of the Federal Rules of Bankruptcy Procedure and Rule 23(g) of the Federal Rules of Civil Procedure, the Court preliminarily finds that the proposed Settlement Agreement is fair, reasonable, adequate and within the range of possible approval by the Trustee. 7. Assuming that the Students do not elect to terminate the Proposed Settlement Agreement in accordance with the Proposed Settlement Agreement and Paragraph 5, above, a hearing on the final approval of the Proposed Settlement Agreement shall take place on, 201, and the Trustee shall provide notice in advance of such hearing to all appropriate persons in accordance with 28 U.S.C. 1715(d). This date may be adjourned at the request of the Parties if the Trustee has not received a private letter ruling from the Internal Revenue Service and/or the Parties determine that the Internal Revenue Service will not issue the requested private letter ruling as contemplated by Paragraph 5, above. 8. Within thirty (30) days of the entry of this Order, the Trustee shall send by first class mail, a notice, in the form annexed hereto as Exhibit 2 (the Student Notice ) to the following: (a) those members of the Settlement Class who have filed Student Proofs of Claim as defined in the Motion; (b) those former students who are listed as account debtors on the accounts placed for servicing or collection with University Accounting Services, LLC, Security Credit Systems, Inc., Premiere Credit NA, General Revenue Corporation, FirstSource Financial Solutions, Inc./One Advantage, and any and all other credit agencies for collection, and who have made payments on account of such accounts since the Petition Date; and (c) all parties who have requested that they receive notice in this case. The Trustee also shall post a copy of the Student Notice on the Rust Omni website for these Bankruptcy Cases and the Debtors website. 4

35 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 35 of 9. The Student Notice shall state, among other things, that: (a) in accordance with prior Notice, Students should not make any payments on account of money that the Debtors loaned to such individuals to finance their tuition and other charges and fees owed to Debtors; (b) they are entitled to object to the Proposed Settlement Agreement by submitting papers inopposition to the Motion on or before, 201, failing which they will be deemed to have consented to the relief sought in the Motion; and (c) they are entitled to opt out of the Settlement Class by returning a copy of the form (annexed hereto as Exhibit 3) to the Court evidencing their intention to opt out of the Settlement Class on or before, 201, failing which they will be deemed to be members of the Settlement Class. 10. Within thirty (30) days of the entry of this Order, the Trustee shall return all funds in the Receivables Segregated Account and the Additional Accounts (each as defined in the Proposed Settlement Agreement) and any other funds which come into her possession or control that are received from students to the student who made such payment. The amount returned shall be reduced, pro rata, by the amount deducted from the aggregate of such payments by the collection agencies, including, without limitation, University Accounting Services, LLC, FirstSource Financial Solutions, Inc./One Advantage, Security Credit Systems, Inc., Premiere Credit NA, General Revenue Corporation, and the reasonable administrative cost associated with returning the funds. The reasonable cost of returning the funds shall be deducted from the Receivables Segregated Account and the Additional Accounts, provided that the Trustee shall use her reasonable best efforts to minimize the cost of returning the funds, and shall consult with the Class Counsel about the costs throughout the process. 11. Notwithstanding Bankruptcy Rule 6004(h), the terms and conditions of this Order will be immediately effective and enforceable upon its entry. 5

36 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 36 of of this Order. 12. This Court shall retain jurisdiction to interpret, implement and enforce the terms ### 6

37 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 37 of Exhibit 3 (Student Proofs of Claim)

38 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 38 of ITT STUDENT CLAIMS Claim No: Creditor C.2996 AARAN RENWICK Cl 97 AARON BARBAS C2938 AARON CHRISTOPHER CORMIER Cl 328 AARON GOODWINE C310 AARON JAMES LANDRUM 62 AARON JAMES LANDRUM C79 AARON JAMES LANDRUM Cl 525 AARON KUNEC AARON PALMER C AARON PRITCHETT C2574 AARON REIS C285R AARON RUFF C2312 AARON VILLANI AARON WDAUGHERTY C3237 Aaron Wooldridge Cl 437 ABDELNASIR SHATA C561 ABRAHAM DANIELLS Cl 8.39 ABRAHAM PEREZ Cl.306 ABRAHAM R. PEREZ JR ABRAM MOODY C499 ABRAM MOODY C60.3 ABRAM MOODY ADAM MEANEY C2644 ADAM MITTELSTAEDT C2365 ADAM NORRIS 0992 ADAM VIATOR C.3449 ADAM WATKINS C2266 ADAM WITHERS C2770 ADEL ARELLANO 0569 ADEL ARELLANO 0701 ADREA CONNELL ADRIAN CANDELARIA C2876 ADRIAN CARRASCO C2754 ADRIAN MOYA ADRIANO NANNINI 0731 AHMED MOHAMED SHATA C2321 AKESHA S. FRANKS 0506 AKESHA S. FRANKS C2348 AKESHA S. FRANKS C2707 AKESHA S. FRANKS C414 AKESHA S. FRANKS C420 AKESHA S. FRANKS C460 AKESHA S. FRANKS C514 AKESHA S. FRANKS C564 AKESHA S. FRANKS ALAINA ALKIRE ALBERT D. CASTRO C558 ALBERT P CRUZ C2671 ALBERT P. CRUZ 02 ALBERT PIERCE 07 ALBERT PIERCE C85 ALBERT PIERCE 0115 ALEC S. NATER 0351 ALEJANDRA ADAME PULIDO C2669 ALEJANDRO HERNANDEZ ALEJANDRO T. SANDOVAL C3121 ALEN KOVACEVIC BK Matter Excluded/Included Portion of Claim:

39 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 39 of ITT STUDENT CLAIMS Claim No: Creditor Cl 738 ALESIA GALLO Cl 739 ALEX ESCOBAR C941 ALEX SLAYMAKER C3120 ALEXANDER AGHYARIAN C.3147 ALEXANDER K. PARSLEY C577 ALEXANDER MATTHEWS C3362 ALEXANDER SIMMONS C3088 ALEXANDER SINGSATHIT THIKEO C3 ALEXIS MAGANA C2714 ALEXIS MINGHIN NG C461 ALEXIS MINGHIN NG C565 ALEXIS MINGHIN NG C3223 ALEXIS RASCON Cl 610 ALICIA HOWARD Cl 049 ALICIA MAE GINGRICH C22S ALICIA MAE GINGRICH C276 ALICIA MAE GINGRICH C2 ALICIA NOTTER C3 ALICIA NOTTER C475 ALICIA NOTTER Cl 00 ALICIA RUTHERFORD C2194 ALISHA DEROME C3379 ALLAHGEHOVAH JONES Cl 994 ALLEN EUGENE LOONEY C2211 ALONZO SALVATIERRA C2305 ALTON] PETERSON C214 ALTON REESE C264 ALTON REESE C998 ALTON REESE Cl 436 ALVARO JOSE JEREZ JR. Cl ALVIN N. RICHARDSON, JR. Cl 8 ALYSE K. ZACHARY C747 ALYSSA SANTANGELO C2470 AMANDA COUQUEZE POWELL Cl 1 AMANDA HILL C2161 AMANDA HILL C3413 AMANDA JOHNSON C3414 AMANDA JOHNSON C3172 AMANDA NEUMEYER C2429 AMBER JANNEY C2436 AMBER PHELPS Cl 914 AMBRIA TURNER C2035 AMBRIA TURNER Cl 446 AMEE WALDEN SULLIVAN C3402 AMSEL O. GERONIMO C2304 ANDERSON C2276 ANDERSON Cl 411 AMY LYNN PAVKA C1453 ANA M. VALENTIN-ROSA C257 ANDRE COVINGTON C52 ANDRE COVINGTON C66 ANDRE COVINGTON Cl 404 ANDRE HUNEAULT Cl 78 ANDRE MOORE C2017 ANDRE VYTOPTOV Cl 570 ANDREA BURKMAN C3483 ANDREA DIXON-LEDE BK Matter Excluded/Included Portion of Claim: 2

40 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 40 of ITT STUDENT CLAIMS Claim No: Creditor BK Matter C3114 ANDREW BAUM Excluded/Included Portion of Claim: C3467 ANDREW BOWERS Cl 785 ANDREW DEBONA C3410 ANDREW GILES C2781 ANDREW HALL C989 ANDREW JOEL THOMAS Cl 300 ANDREW KRETZER Cl 414 ANDREW KRETZER Cl 495 ANDREW LEBOV Cl 672 ANDREW LEBOV C2333 ANDREW NUNES C1685 ANDREW R. DILLON C1469 ANDREW SABOURIN C2279 ANDREW THOMAS EFFLER Cl 264 ANDY KMIECIK C2115 ANDYE JOHNSON Cl 892 ANGELA ATILANO C2483 ANGELA DELANA HICKS C435 ANGELA DELANA HICKS Cl 676 ANGELA DUMAS C344 ANGELA DUMAS C420 ANGELA DUMAS C394 ANGELA ELDRIDGE C2727. ANGELA HICKS C530 ANGELA HICKS Cl 458 ANGELA KEMMERLING Cl 640 ANGELA LOTHAMER C2750 ANGELA MICHELLE BROWN C3489 ANGELICA JENKINS C2842 ANGELICA LOPEZ Cl 924 ANGELICA SILVAS C2020 ANITA KEISLER C2407 ANNA KATHLEEN MACLACHLAN C519 ANNE M KELLER C.23R2 ANNE M. KELLER C423 ANNE M. KELLER C2118 ANNE MARTIN C7.505 ANNETTE AUGUST-TAYLOR C2545 ANNETTE AUGUST-TAYLOR C2026 ANORAK XAYYACHACK C3156 ANTHONY A. DOWELL C1719 ANTHONY ADAMS Cl 720 ANTHONY ADAMS Cl 323 ANTHONY COLEY C291 ANTHONY COLEY C354 ANTHONY COLEY Cl 260 ANTHONY COURTNEY C250 ANTHONY EVANS C2440 ANTHONY FORD C1736 ANTHONY GALLO C4 ANTHONY HINKLE C754 ANTHONY HUNTER C2460 ANTHONY HUNTLEY C2656 ANTHONY JAMES IAN REPETTT Cl 943 ANTHONY JONES C2277 ANTHONY KRAUSE C496 ANTHONY KRAUSE 3

41 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 41 of ITT STUDENT CLAIMS Claim No: Creditor C33S5 ANTHONY LAVENE POWE C667 ANTHONY M. LADEAU 091S ANTHONY MILTON C455 ANTHONY MILTON 0988 ANTHONY PHA 0687 ANTHONY STEVENSON 0802 ANTHONY T. CAPOZZI C364 ANTHONY T. CAPOZZI C444 ANTHONY T. CAPOZZI 0329 ANTHONY VIVEROS ANTHONY WARINER C3386 ANTHONY WILLIAMS 0 ANTOINE G BELOT ANTOINETTE TIMM ANTONIO BROWN 0859 ANTUAN DAVIS APRIL CHAPMAN-THOMAS APRIL LEE APRIL MITCHELL 0516 APRIL MITCHELL ARECANNON JONES JR. Cl 334 ARGELIA VILLASENOR 0296 ARGELIA VILLASENOR 0360 ARGELIA VILLASENOR 04 ARIEL L. FISHER 074 ARIEL L. FISHER 09 ARIEL L. FISHER ARNETTE PERSON ARTA GRAJCEVCI ARTHUR CONDELLES ARTHUR CONDELLES ARTHUR JOHN CHRISTIAN 0360 ARTHUR ZAVALA MURILLO ARTURO ALMAGUER ARVIN P. FABRE ARYN BLASE 01 ASHLEY CUTTER 061 ASHLEY ELLIOTT 0 ASHLEY JOHNSON 0257 ASHLEY JOHNSON 0952 ASHLEY JOHNSON ASHLEY MARIE MILLIGAN ASHLEY MARIE MIRELES 0261 ASHLEY MONPLAISIR 0554 ASHLEY NICOLE RICH ASHLEY NURELDIN COWING 0.2 ASHLEY OLIVET 09 ASHLEY PASCAL ASHLEY RENEE BLACK ASHLEY SIBRI ASHLEY TARLOSKI 092 ASIA LOWE AUDREY CEBALLOS AUSTIN RYDZEWSKI 0411 AUSTIN RYDZEWSKI AUSTIN RYDZEWSKI AUSTIN TANNER ELSE BK Matter Excluded/Included Portion of Claim: ' 4

42 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 42 of ITT STUDENT CLAIMS Claim No: Creditor C2328 AUTUMN MONTES Cl 807 AVEMARIA M. LADSON C2778 AVERY MCNEAL C22(S3 BECKY GOUDGE Cl 889 BELINDA KEEL C2336 BELINDA MILLS C3231 Bengerman P. Norviel Cl 325 BENJAMIN LEE RUTHERFORD C293 BENJAMIN LEE RUTHERFORD C356 BENJAMIN LEE RUTHERFORD C2665 BENJAMIN PFIESTER C3281 BENJAMIN WILEN Cl 816 BENSON JAMES C3044 BENSON TSO Cl 194 BETH SANDERS C266 BETH SANDERS C322 BETH SANDERS C2301 BHUWANINEOPANEY C3486 BILLY JOE BREWER III a 575 BLAKE BRENDLINGER C.328 BLAKE BRENDLINGER C404 BLAKE BRENDLINGER C2029 BLAKE ROBERT REGAN C469 BLAKE ROBERT REGAN C2980 BOB DUHAINY Cl 648 BOBBIE LYDIA MUNIZ C341 BOBBIE LYDIA MUNIZ C415 BOBBIE LYDIA MUNIZ C2331 BOBBY BARNES C2335 BOBBY BARNES C82 BOBBY HOLMES C3165 BONITA R. FREEMAN C1938 BORIS ROSAS Cl 669 BOWEN A LORD C2768 BRAD M. BEYER, C3485 BRAD W. HARRIS C2180 BRADLEY D. SCHWARTZ C249 BRADLEY TERRILL C921 BRADLEY TERRILL Cl 332 BRADY BALINT C2456 BRANDI HANNA Cl 848 BRANDON BIEDA C2172 BRANDON BURNS C3484 BRANDON BUSH C22R1 BRANDON C. MELIN C2437 BRANDON CAIN C2617 BRANDON CARUTHERS C3189 BRANDON GLEASON C2294 BRANDON HAYES C409 BRANDON HAYES C500 BRANDON HAYES Cl 866 BRANDON JERQUE C3351 BRANDON K. CAIN C2285 BRANDON L. CLARK C407 BRANDON L. CLARK C498 BRANDON L. CLARK C2565 BRANDON L. FALNESS BK Matter Excluded/Included Portion of Claim: 5

43 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 43 of ITT STUDENT CLAIMS Claim No: Creditot BRANDON L. FALNESS C474 BRANDON M. HOLLIS C2155 BRANDON MACKEY C2220 BRANDON MATTHEWS C3430 BRANDON MCGRUDER BRANDON MCKINNEY Cl 451 BRANDON MICHAEL VANVORST BRANDON PRIME C2016 BRANDON ROBINSON BRANDON SIMPSON BRANDON STRICKLAND BRANDON TORREZ C2622 BRANDON WESTOVER 0551 BRANDON WESTOVER 0697 BRANDON WILLIAM CRIDDELL C2309 BRANDON-JAMES O'NEIL TAYLOR BRENDA CONDELLES BRENDA LANORE BRENDA ORTIZCRUZ 03 BRENDAN BUGLEWICZ 036 BRENDAN BUGLEWICZ BRENT FARMER 0245 BRETT LANDRY 07 BRETT LANDRY BRETT SCHUILWERVE 0110 BRIA MELANCON BRIAN A. PROVIDENCE BRIAN A. SCOFIELD 0372 BRIAN A. SCOFIELD 0451 BRIAN A. SCOFIELD BRIAN BERMAN BRIAN BUCK BRIAN BURR BRIAN 0. IFEOBU BRIAN HOLLE BRIAN MARTIN Brian Partridge BRIAN PRINCE BRIAN PROVIDENCE BRIAN WHITEHEAD BRIDGET ARMSTRONG BRIGIT C. MALLOY 0786 BRITON LEWIS BRITTANEY BANDY 0791 BRITTANY N. HANGER 0124 BRITTANY NABORS 022 BRITTANY NABORS 029 BRITTANY NABORS BRITTANY READHEAD BRITTANY ZUBICK BRITTANY ZUBICK 0598 BRITTANY ZUBICK BRITTNEY LJ JOHNSON 0253 BRITTNEY LJ JOHNSON 0307 BRITTNEY LJ JOHNSON BROOKE STANKAVICH BRUCE JOHNSON BK Matter 201 Excluded/Included Portion of Claim: 6

44 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 44 of ITT STUDENT CLAIMS Claim No: Creditor Cl 06 BRUCE WARREN II C407 BRUCE WARREN II C83 BRUCE WARREN II Cl 032 BRYAN CHRISTOPHER BABCOCK C3438 BRYAN LAWLESS Cl 479 BRYAN SIDNER Cl 127 BRYANT MAURICE JONES C2003 BUFORD ANTHONY PHILLIPS C2162 BUFORD ANTHONY PHILLIPS C2607 BURT REINHOLD C3424 CALEB JERRELL KEIRSEY C342.S CALEB JERRELL KEIRSEY C512 CALEB JERRELL KEIRSEY C619 CALEB JERRELL KEIRSEY C3423 CALEB KEIRSEY C3442 CALEB KEIRSEY C21 CALEB MOORE C87 CALOB PEOPLES C695 CAMISHA HOLLIS Cl 171 CANDACE CRUSE C2560 CANDACE FLOOD C2236 CANDACE RENE HOKE Cl 70 CANDICE VILLAFUERTE cm CANDICE VILLAFUERTE C216 CANDICE VILLAFUERTE C217 CANDICE VILLAFUERTE cm CANDICE VILLAFUERTE cm CANDICE VILLAFUERTE cmi CAREY WANAMAKER C2508 CARIN SOSA Cl 371 CARL BENJAMIN SLAGLE C2164 CARLA R SMALL C3470 CARLOS E MATA PRIMERO Cl 558 CARLOS GRAVIER C3422 CARLOS L MORGAN C2476 CARLO-SANCHEZ AKIL BURNSIDE C527 CARLO-SANCHEZ AKIL BURNSIDE C2784 CARLTON JONES C463 CARLTON JONES C570 CARLTON JONES C382 CARMEN Z. BAKER cm CARMEN Z. BAKER C99 CARMEN Z. BAKER C2366 CAROLYN HASTINGS C592 CAROLYN L. MATTHEWS c,?>?m CARRIE LANCASTER C509 CARRIE LANCASTER C617 CARRIE LANCASTER Cll CARRIE NEWMAN 6 CARRIE NEWMAN C66 CARRIE NEWMAN Cl 725 CASEY MUMMAW Cl 079 CASSANDRA LEE FISHER 0312 CASSANDRA PERKINS C3304 GATINA BEALS 0459 CECIL DANTE JONES C2782 CECILEY CHAVEZ BK Matter. Excluded/Included Portion of Claim: 7

45 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 45 of ITT STUDENT CLAIMS Claim No: Cteditor C2791 CEDRIC SINGLETON C3042 CESAR LOPEZ C496 CESAR LOPEZ C599 CESAR LOPEZ CESAR M VELOZ Cl 049 CESAR M. GARCIA C.2404 CESAR REYNOSO C2913 CHAD DUVALL C465 CHAD PARK 0766 CHAD WHITLOCK C2258 CHAD WHITLOCK C.2994 CHAD YOUNG CECCHINI 0387 CHANDLER E. MINNICH O 559 CHANTELLE Y. SUBLETT C325 CHANTELLE Y. SUBLETT C400 CHANTELLE Y. SUBLETT CHARLES BAILEY 0721 CHARLES BAQUERO 03 Charles Blow 08 Charles Blow 088 CHARLES BLOW C2657 OHART.ES BRANDON BATES CHARLES BRANDON BATES 0883 CHARLES CESPEDES C793 CHARLES DAVID-LEE STANLEY CHARLES EDWARD GAINES CHARLES HENRY HUFF CHARLES HENRY HUFF CHARLES HENRY HUFF CHARLES JOECKS 0965 CHARLES MCCLENDON 0201 CHARLES NOE CHARLES PATTERSON CHARLES S. WHEELER CHARLIMARIAH GREEN CHAS SETLOCK CHAUNCEY PHILPOT CHELSEA J. BAGLEY CHELSEA M. VERHAGEN CHERICE THOMAS 0477 CHERYL TOMISATO 0264 CHONG LOR 0785 CHRIS CASAVAN CHRIS HERNANDEZ CHRISTIAN CARABALLO CHRISTIAN CARABALLO CHRISTIAN CARDENAS CHRISTIAN RUIZ CHRISTIE DIANE BEWICK CHRISTINA CHANDLER CHRISTINA EMMERT 0982 CHRISTINA HAMMOND CHRISTINA KING CHRISTINA LONG CHRISTINA OSBORN CHRISTINE A. HARBER CHRISTINE ROTSLER BK Matter Excluded/Included Portion of Claim: 8

46 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 46 of ITT STUDENT CLAIMS Claim No: Creditor BK Matter Excluded/Included Portion of Claim: C2432 CHRISTINE SAUCO Cl 449 CHRISTOPHER BELLENGER Cl 684 CHRISTOPHER BLANK Cl 107 CHRISTOPHER BOEN C240 CHRISTOPHER BOEN C296 CHRISTOPHER BOEN Cl 164 CHRISTOPHER CANCELLIERE C258 CHRISTOPHER CANCELLIERE CXK-a CHRISTOPHER CLARK C2606 CHRISTOPHER D WOOD C1B1 CHRISTOPHER DEITZ C419 CHRISTOPHER DEITZ Portion of creditor's claim asserting claim for NSF refund check for overpaid tution is specifically excluded (Claim 313 filed in case, and Claim 81 filed in Case are Cl 547 CHRISTOPHER DESHAWN JACKSON excluded from the class) 6:2632 CHRISTOPHER FORRY C2154 CHRISTOPHER G. COWGILL C3162 CHRISTOPHER HAMMOND C3493 CHRISTOPHER HEATH MELTON C.2982 CHRISTOPHER HOPE C2284 CHRISTOPHER I. KENT C3417 CHRISTOPHER J. MUEHLEISEN Cl 971 CHRISTOPHER JAMES DORITY C2701 CHRISTOPHER JORDAN C.1645 CHRISTOPHER JUDE MARTINEZ C2745 CHRISTOPHER JUSTIN GARRISON C.2805 CHRISTOPHER JUSTIN GARRISON C2507 CHRISTOPHER L WALTERS C537 CHRISTOPHER L WALTERS C.2273 CHRISTOPHER L. GUY C.442 CHRISTOPHER L. WALTERS Cl 927 CHRISTOPHER LEE ENTERLINE C2758 CHRISTOPHER MICHAEL BOLBY Cl 627 CHRISTOPHER MORGAN C2170 CHRISTOPHER PALMER Cl 838 CHRISTOPHER R. WOLFLA Cl 553 CHRISTOPHER ROBERTS Cl 805 CHRISTOPHER THOMPSON C2165 CHRISTOPHER TIMOTHY MARTIN C1551 CHRISTOPHER WEBB Cl 014 CHRISTOPHER WOLFLA C.3437 CHRISTOPHER WUNDERLY C2314 CIARA HORNBURGER C433 CINDY & JOSE MONTERO C.2600 CINDY HERNANDEZ Cl 722 CINQUETTA ANDRE EDGE Cl 748 CLANCY E. HULL C3446 CLARKE WALDRON C2720 CLAUDETTE DECOUX C479 CLAUDIA ULLOA C803 CLAUDIA ULLOA C.1757 CLEOPATHRA E. ROBINSON C3460 CLEOPATHRA ROBINSON C993 CLERE D. BROWN Cl 527 CLIFFORD A. WELLS 9

47 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 47 of ITT STUDENT CLAIMS Claim No: Creditor BK Matter Excluded/Included Portion of Claim: C321 CLIFFORD A. WELLS C39S CLIFFORD A. WELLS C6.S2 CLIFFORD PLACIDE Cl 920 CLINT HOOPER C2673 CODY GODWIN C560 CODY GODWIN C2234 COLIN WINSOR C2444 COLLEEN SMITH C3003 COLLETTE CASTELLANOS C346.S COLLIN A. JOHNSON C2S6 COLTAN WATLINGTON C2542 CONNOR S. JACKSON C2134 CONSTANCE BROCK Cl 522 COREY HAYES Cl 9 COREY HAYES C2661 COREY KAMARAINEN Cl 343 CORWIN DION HICKS Cl 616 CORY MICHAEL POLIZZI C3363 CORY SIMMONS C3257 CORY WALLACE C2197 COURTNEY CARR C2140 COURTNEY JENNINGS C2966 COURTNEY MCLAUGHLIN C86 COURTTNEA HENDERSON TURNER Cl 5 CRAIG BARRETT C2795 CRAIG DWAYNE HADDLEY C2461 CRAIG R. DARY Cl 357 CRAIG VANDERVOORD C2124 CRISTY R. MCCLEAN C2059 CRUZ I. GARCIA C2177 CRYSTAL BAYARDO C1366 CRYSTAL CHANEL AGUIRRE C3357 CRYSTAL CHANEL AGUIRRE C2853 CRYSTAL D. UNDERWOOD C468 CRYSTAL D. UNDERWOOD C576 CRYSTAL D. UNDERWOOD C2069 CRYSTAL MEMORY BURNETT C2837 CRYSTAL MITCHELL C2679 CRYSTAL MYKELL C2293 CRYSTAL REBECCA MUNIZ C2945 CRYSTAL WHITE Cl 910 CURTIS JAMES KOENIG Cl 984 DAKOTA DANIELS Cl 341 DALAL AZOOZ Cl 511 DALAL AZOOZ C363 DALALAZOOZ Cl 489 DALE AJIFU Cl 106 DALE L. COPLEY JR. C295 DALE L. COPLEY JR. C239 DALE L. COPLEY JR. C3451 DAMIAN AGEE Cl 396 DAMIEN MICHAEL MILES Cl 337 DAMON POKE C297 DAMON POKE C361 DAMON POKE Cl 246 DAN MCKINZIE C3421 DAN MYERS 10

48 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 48 of ITT STUDENT CLAIMS Claim No: Creditor C.2225 DANA A. WILLIS C.3117 DANIEL ACOSTA C.2343 DANIEL ADDIE Cl 395 DANIEL DALEY C2641 DANIEL ESTRADA C3 DANIEL EXIGA C3 DANIEL EXIGA C576 DANIEL KUBADJEH C2457 DANIEL MAF.LLF.R C2637 DANIEL PASHIA C2719 DANIEL PEIRCE Cl 535 DANIEL R. FISCHER JR DANIEL RATCLIFF C.2402 DANIEL REYNOSO 0964 DANIEL ROYCE BOWMAN 0776 DANIEL SATTON C DANIEL STEPHEN JONES C2585 DANIEL THOMMEN C2330 DANIEL WALDORF 0636 DANIEL WENDT C2347 DANNA RUSSELL C51.3 DANNA RUSSELL 0827 DAREK PAUL FISCHER C20.36 DARIUS T CUNNINGHAM C.3396 DARLA ANN SMALLWOOD 0754 DARLENE SAVILLA HOPKINS C2939 DARNELL SMITH C.3452 DARREN ROUTON C2298 DARRYL JOHNSON, JR 0755 DARRYL R. BROWN C200 DARRYL WOODARD C38 DARRYL WOODARD C51 DARRYL WOODARD 0951 DARWIN DAMION RHULE 028 DAVID A PEREZ 0403 DAVID A. LINK C.5 DAVID A. LINK 0286 DAVID ALVARADO C2823 DAVID ANDREW PEREZ JR C.6 DAVID C. ATKINSON C2586 DAVID FLORES C447 DAVID FLORES C544 DAVID FLORES 0038 DAVID HANEY C2219 DAVID ISAAC REEP C3371 DAVID J. HARPER 0981 DAVID J. ROBINSON JR. C2275 DAVID JIMENEZ C.2515 DAVID M. DEWAR C271 DAVID MCCLOUD DAVID MEHTA C368 DAVID MEHTA 080 DAVID N. DEVORE Cl 1.39 DAVID O. PANIAGUA RAMIREZ C249 DAVID O. PANIAGUA RAMIREZ C.30.3 DAVID O. PANIAGUA RAMIREZ O 843 DAVID PRUDE BK Matter Excluded/Included Portion of Claim: 11

49 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 49 of ITT STUDENT CLAIMS Claim No: Cteditor BK Matter C2327 DAVID RICE Excluded/ Included Portion of Claim: 0330 DAVID RYAN DEARTH 0378 DAVID SCOTT MCCULLOUGH C3394 DAVID TATUM Cl 301 DAVID V. PRIMM, SR Cl 686 DAVID VINCENT PRIMM, SR. Cl 084 DAVID WALDEN C2609 DAVID WALL TRANSOU IV DAWN BELTON C354 DAWN BELTON C431 DAWN BELTON C2018 DAWN LUECK C467 DAWN LUECK C2400 DEAN KURTZ 0263 DEANE LANIER Cl 377 DEBORAH ENYEART Cl 786 DEBORAH ENYEART C773 DECHARNEL TURENNES C2168 DEENA FLEISCHMAN C2019 DEMAR HILSON 009 DEMETRAS ANGELE BURGIN C1644 DENISE COLE C2009 DENISE LIU 0187 DERECK HEIM 0266 DEREK COLLINS C2663 DEREK G. LUERS 054 DEREK MESSERLY C554 DEREK MESSERLY 0030 DEREK WHEATLEY Cl 815 DEREK Z. KILLION C367 DEREK Z. KILLION C445 DEREK Z. KILLION C2873 DERRICK C. MARTIN C471 DERRICK C. MARTIN C580 DERRICK C. MARTIN C2372 DERRICK JOHNSON O 549 DERRICK LEE ASH DERRICK MATOLA C267 DERRICK MATOLA 02? DERRICK MATOLA 0 6 DESHANNON M. BEATY 096 DESIREE PEREZ 07 DESIREE PEREZ C50 DESIREE PEREZ O 864 DESTYNI BLAYLOCK C2774 DETRICK GRIMES 0705 DEVIN MOSS C879 DEVONTE MARQUIS CRAWFORD C2962 DIANA JACKSON C3135 DIEGO MANGUERA C2316 DILAN AZAREELAH DELGADO MOSQUEDA Cl 64 DILLIN MERTZ C206 DILLIN MERTZ C735 DILLIN MERTZ DINO PETKOVIC 0652 DOLORES SOLIZ DOLORES SOLIZ 12

50 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 50 of ITT STUDENT CLAIMS Claim No: C224 C45 C59 Cl 29 Cl 65 C582 Cl 530 C3222 Cl 3 Cl 307 C20 C C3185 Cl 637 Cl 568 C760 C3106 Cl 58 Cl 69 Cl 440 C2175 C2251 Cl 566 Cl 478 Cl 852 C2676 C2672 C2256 C3407 C2308 C3175 C320 Cl 882 C2543 Cl 26 C23 C30 C2297 C3093 C2765 C706 C471 Cl 858 Cl 865 C3214 Cl 526 C284 C2242 Cl 088 C236 C2 C2642 Cl 561 C3373 C3143 Cl 832 C3468 Creditor DOMANIK GUTIERREZ DOMANIK GUTIERREZ DOMANIK GUTIERREZ DOMINIC A. JACKSON DOMINIC A. JACKSON DOMINIC A. JACKSON DOMINICK LAGRUTTAJR DOMINICK PARSON MACCARI DONALD ALLY DONALD GENE ALLY, JR DONALD MULDER DONALD MULDER DONALD VINCENT CIOTAII DONALD WILLIAMS DONNA GALLIHAN DONNA M ZERBE DONNA R. TUCKER DONNELL J HALL DONNELL J. HALL DONNELL P. HICKS DORIAN ELIZONDO DOUG ATKINS DOUGLAS A. ESPINOSA DOUGLAS BRIONES MARADAIAGA DOUGLAS LEE SEACRIST DREW HAGUE DUG CHONG DULCEFLORES DUSTIN FRANKS DUSTIN HAGER DUSTIN HETRICK DUSTIN VICK DUWADE RIDEAUX DWAYNE TURNER DYLAN CRAWFORD DYLAN CRAWFORD DYLAN CRAWFORD DYLAN ROSE EBOE EDDY A. CANO EDDY JESAEN ALVARADO EDGARLOZANO EDGAR PEREZ EDGAR PEREZ EDWARD C. STURGESS, JR EDWARD COOK EDWARD DAVID HURDEL EDWARD DEAN HENNINGSEN EDWARD JOHN PEREZ EDWARD JOHN PEREZ EDWARD JOHN PEREZ EDWARD JOSEPH CARROLL EDWARD LANING GORDON V EDWARD MARSHALL GORDON EDWARD T. HARTNAGEL EDWARD THOMAS GARDNER EDWARD WIT.LIAMS BK Matter Excluded/Included Portion of Claim: 13

51 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 51 of ITT STUDENT CLAIMS Claim No: Cteditoi C2718 EDWIN CARRANZA C28S EFRAIN RIVERA C922 EILEEN JACOBSON-VITA C3327 ELISSA DUNN ELIZABETH CLOSE C3194 ELIZABETH HICKS C505 ELIZABETH HICKS C611 ELIZABETH HICKS Cl 004 ELIZABETH HURT Cl 594 ELIZABETH W. FRANKLIN 0329 ELIZABETH W. FRANKLIN C405 ELIZABETH W. FRANKLIN C2206 ELLEN LASHER 0996 ELLISH DANZY C2776 ELLISH DANZY C2992 ELLISH DANZY C2706 ELVIRA L. GONZALES C2798 EMERSON AYALA 0120 EMERY B. CARTER C246 EMERY B. CARTER 0300 EMERY B. CARTER C2879 EMILI HERNANDEZ C2363 EMILIA ADAMICHINA C2625 EMILY BRINSON C3226 EMILY HOLCOMB C2024 EMILY VELA 075 EMMA L. ROSS C221 EMMA L. ROSS 0799 EMMA LROSS C2601 EMMANUEL MORRIS 0118 EMMANUEL UGONO C299 EMMANUEL UGONO C2736 ENCARNACION MOYA 0954 ENRICO WEBB C2240 ENRIQUE GONZALEZ C2358 ENRIQUE LOYD 0753 EPHRAIM REYES ERIC BRONCY C894 ERIC JUSTIN JAY ERIC MUNIE C2762 ERIC NOVAK C2915 ERIC NOVAK C2596 ERIC PETERS 0 6 ERIC WILEY 0346 ERIC WILEY C423 ERIC WILEY 0263 ERICA BROWN 07 ERICA JORDAN PHARR 0533 ERICA WARREN 0323 ERICA WARREN C397 ERICA WARREN ERICK D. NORVIEL 0097 ERICK FERNANDO MARZANA ZELAY C2060 ERICK L. MENCOS-SANTOS O 545 ERIK WINKELKOTTER 0 58 ERIKA DAWN MOHR O 99 ERIKA DAWN MOHR BK Matter Excluded/Included Portion of Claim: 14

52 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 52 of ITT STUDENT CLAIMS Claim No: Creditor BK Matter C719 ERIKA DAWN MOHR Excluded/ Included Portion of Claim: C2406 ERIKA DIAZ C301.0 ERIN E. GOLDMAN C2349 ERIN HINNEN C2999 ERIN JOHNSON Cl 398 ERIN NIVENS Cl 846 ERNEST BURGS C2218 ERNEST BURGS Cl 045 ERNEST COGDELL C2933 ERNEST L. JONES C3342 ESTEBAN D. WILLIAMS C312.7 ESTHER E. TAYLOR C3230 ETHANE HALL C2292 ETHAN WASSERBURGER C29 EUGENE C RISKO C34 EVA JONES C899 EVERETT D. GEORGE, SR. C330 EVERETT T. HUCKPETH Cl 573 EZEKIEL LAWSON C503 FDIELDEN HENDRY-SMITH Cl 07 FIELDEN HENDRY-SMITH Cl 36 FIELDEN HENDRY-SMITH C3087 FOLARIN TALLMAN Cl 670 FOREST BOND-WHEELER C3211 FORREST STEPHAN C2725 FRANCES GRIMES Cl 586 FRANCISCO VILELA CUSTODIO TEMBO Cl 696 FRED S. LACHERJR. C3166 FREDDIE BELTRAN III Cl 583 FREDERICK C. WEST IV C5 FREDRICK NORFLEET C65 FREDRICK NORFLEET C3370 FREDY MONTANO Cl 544 GABRIEL ALEXANDER JIMENEZ C2862 GABRIEL FLORES C2473 GABRIEL JIMENEZ C3409 GABRIEL R. VALENZUELA C3448 GABRIELA CARRILLO C3158 GABRIELLE KELLERMAN C608 GABRIELI,H KELLERMAN Cl 267 GAMAYIEL KAWANA HARRIS Cl 460 GARREN HENRY C2553 GARREN HENRY Cl 506 GARRETT M. SHUCK C2666 GARY JUSTIN NEELY Cl 148 GARY L. MCCLARIN C2620 GAURISHARMA C3151 GENE DRAKE C3253 GENNARO FUNARO C3275 GENTRY ROBERTS Cl 501 GEORGE A. HURLBURT C316 GEORGE A. HURLBURT C389 GEORGE A. HURLBURT Cl 826 GEORGE ALEXANDER IAZZI C1117 GEORGE CHEEKS C243 GEORGE CHEEKS C298 GEORGE CHEEKS 15

53 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 53 of ITT STUDENT CLAIMS Claim No: Creditor Cl 887 GEORGE KELLEY C.2808 GEORGE QUINONES C.3000 GEORGE SMITH Cl 856 GERALD BOWES C966 GERICE PARTEE C3280 Gertrude C. Nelson C2928 GERTRUDE CECILIA NELSON C481 GERTRUDE CECILIA NELSON C589 GERTRUDE CECILIA NELSON Cl 252 GILBERT BERNARD SHAW JR GILBERT BERNARD SHAW, JR 0433 GILBERT BERNARD SHAW, JR. C2025 GINA HAYDEN C241 GISELA NAVARRO C889 GISELA NAVARRO 0765 GLEN EASLEY C2698 GLENN CORTES C458 GLENN CORTES C562 GLENN CORTES C2635 GLENN ESSEX GLENNJOHNSON GLENN RICHARDS, JR. C3025 GORDON BREEDING C940 GRANTACONRY C203 GRANT A. CONRY C252 GRANTACONRY 0526 GRANT COOLEY C539 GRANT LONYE COOLEY 0774 GRANT LONYE COOLEY 0094 GREER ANNE WAGNER C237 GREER ANNE WAGNER C291 GREER ANNE WAGNER 0724 GREG AGOPIAN C2710 GREGORY DODGE 07 GREGORY FOSTER GREGORY GILL 0886 GREGORY SCOTT VANOVER GUILLERMO A BARBA GURESJ GURESJ HABIB RASHIDI-TORGHI 0306 HAMIM BIN ALAM RAFI C61 HAMIM BIN ALAM RAFI 078 HAMIM BIN ALAM RAFI C672 HANNAN MICHAEL EDWARDS C2934 HARLAN T. BRODIE 0699 HARLEY SIEVENPIPER 071 HAROLD D PATRICK, JR. C601 HAROLD D PATRICK, JR. 038 HAROLD D. PATRICK, JR HARRY B. EVERS 0500' HEATHER ALLEN 0315 HEATHER ALLEN 0388 HEATHER ALLEN C62 HECTOR ALEXIS SANCHEZ 044 HECTOR ALEXIS SANCHEZ C242 HECTOR ALEXIS SANCHEZ C26 HECTOR ALEXIS SANCHEZ BK Matter Excluded/ Included Portion of Claim: 16

54 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 54 of ITT STUDENT CLAIMS Claim No: Creditor C34 HECTOR ALEXIS SANCHEZ C49 HECTOR ALEXIS SANCHEZ Cl 734 HECTOR M. NAVA, JR. C2524 HECTORPAZOS C2152 HEIDI MARSDEN C339R HEIKE NELLY JURADO Cl 175 HELEN G. JOHNSON C261 HELEN G. JOHNSON C316 HELEN G. JOHNSON Cl 470 HELENA LU C2368 HERIBERTO LEMUS AGUILAR C81 HERN AN ZARATE Cl 873 HOANG NGUYEN C600 HOI YAN NG C.2342 HOLLY HINDMARSH C2840 HOLLY MONTOYA Cl 359 HOWARD O. ARIYO Cl 416 HOWARD R. TOLLER C91 HUNG NGOC NGUYEN C2R59 HUNTERBACON Cl 132 HYUNSON C2143 IAN STOVER C256R IAN STOVER C2 INDIA HOWE C2212 ISABEL Y.JACOBO Cl 99 ISAIAH TAYLOR Cl 759 ISMET CAPIRO C3239 ISRAEL DE LA CRUZ Cl 373 ISRAEL SANDOVAL Cl 781 ISRAEL SANDOVAL C2563 ISRAEL SANDOVAL Cl 543 IVAN MOORE C397 IVEY M BRYANT C2538 JACK RUCKER IV Cl 763 JACK SARKIS KEYIAN IV C.2067 JACLYN B. DOEBBER C3176 JACLYN STEPHENS C2512 JACOB A EVERETT C552 JACOB B. TIETZ C2291 JACOB C. ROSENTHAL C3480 JACOB CROSKEY Cl 830 JACOB DYLAN PEREZ C3258 JACOB GRAUL C2522 JACOB JARECKI Cl 324 JACOB MICHAEL BOREN C292 JACOB MICHAEL BOREN C355 JACOB MICHAEL BOREN C2634 JACOB NIEBUHR C2491 JACOB SCHAEFFER C2519 JACOB YEOMANS JOHNSON C2755 JACQUELINE MARIE BONNER C2993 JACQUELINE MEADOWS C3104 JACQUELINE ROLFE C423 JACQUELYN A HOWELL C2337 JACQUELYN ANN WILLIAMS C1668 JACQUELYN ROBINSON C2265 JACQUELYNN DOELLER BK Matter Excluded/Included Portion of Claim:

55 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 55 of ITT STUDENT CLAIMS Claim No: Creditor C3420 JACY R. ROBERTS C2693 JADDERRIN E. WILKINS C2282 JADE DIXON C.406 JADE DIXON C.497 JADE DIXON C3447 JAIME BARRACAN C2678 JAIME DORSEY C2863 JAIME KITE C2386 JAIRUS MCALLUM C.2499 JAKE D. ANDRY C440 JAKE D. ANDRY C535 JAKE D. ANDRY Cl 9 JAKE MILLS C.2558 JAMAAL WATSON C.212 JAMARREED C41 JAMAR REED C.56 JAMAR REED C2458 JAMEELA CHRISTIAN Cl 735 JAMES ANDERSON Cl 81 JAMES B. TAURING C811 JAMES B. TAURING C2446 JAMES B. WHITE C2428 JAMES BRYON LUJAN Cl 51 JAMES CAMOZA Cl 353 JAMES D. HOYT C2910 JAMES E. MCKINLEY III C2932 JAMES EARL CONDON Cl 569 JAMES EDMOND BOWERS C3170 JAMES GRAY C503 JAMES GRAY C609 JAMES GRAY C3152 JAMES HEYWORTH C2167 JAMES HMUN C3030 JAMES IAN METCALF C2052 JAMES JOHNSON C389 JAMES JOHNSON C473 JAMES JOHNSON C JAMES K DAWSON C737 JAMES K. DAWSON C57 JAMES LOSOYA C2608 JAMES M. COSTELLO II C549 JAMES M. COSTELLO II C2378 JAMES MICHAEL MIESNIK Cl 2 JAMES MICHAEL SUMMEROUR Cl 548 JAMES O. JOHNSON C607 JAMES R. HEYWORTH C2861 JAMES RICHARD OXLEY C2914 JAMES RICHARD OXLEY Cl 869 JAMES RYAN HOSEY Cl 482 JAMES SAPIEGA C1587 JAMES SAPIEGA C3268 JAMES SHACKELTON C106 JAMES WOODY C2991 JAMI HARPER C2441 JAMIE BOLES C3492 JAMIE G. SMITH C2643 JAMIE MONTGOMERY BK Matter Excluded/Included Portion of Claim: 18

56 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 56 of ITT STUDENT CLAIMS Claim No: Creditor Cl JAMIE MORROW Cl 574 JANEE S. HARRIS C2339 JANELLE DILLEY C2797 JAQUELINE MARIE BONNER C2249 JARED GRINDLE C2224 JARED JAMISON Cl 615 JAREN GABRIEL WHITE C2055 JARID MIRANDA C12 JARMIE JOHNSON 68 JARMIE JOHNSON C7 JARMIE JOHNSON C2887 JARROD BUCHMAN C2127 JARROD JONES C2796 JASMINN COMBS C2369 JASON ABBENANTE C2377 JASON ABBENANTE C3130 JASON C. MOORE C3128 JASON COFFMAN C2540 JASON FISHER C2513 JASON HAYWARD Cl 427 JASON HUBER Cl 967 JASON ISAACS Cl 255 JASON JENKINS C281 JASON JENKINS C341 JASON JENKINS Cl 999 JASON JIMENEZ C2602 JASON PINCKNEY C3180 JASON PROTZMAN C2722 JASON RYER C.3322 JASON THOMAS C2004 JASON TRONDSON Cl 4 JASON YOUNG Cl 21 JAYDEN M LE Cl 53 JAYDEN M LE C553 JAYDEN M LE C3242 JAYSON MICHAEL HINTON C2346 JAZMYN MCKINNEY C419 JAZMYN MCKINNEY C512 JAZMYN MCKINNEY C242 JEANA CUZZUPE C3102 JEANETTE SANCHEZ Cl 737 JEANNE GALLO C3236 JEANNE TAYLOR C3177 JEB WEBB Cl 8 JEFFERY ROGERS Cl 598 JEFFREY BEAVER Cl 893 JEFFREY D. SPANGLER C375 JEFFREY D. SPANGLER C453 JEFFREY D. SPANGLER C3353 JEFFREY FEHR C3274 JEFFREY IRWIN C2426 JEFFREY KNIGHT C.2960 JEFFREY KNIGHT C2804 JEFFREY M. SIMPSON C439 JEFFREY MAHON C2325 JEFFREY MONTES Cl 579 JEFFREY PADEN BK Matter Excluded/Included Portion of Claim: 19

57 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 57 of ITT STUDENT CLAIMS Claim No: Creditor C28 JEFFREY RYAN BACON C2917 JEFFREY S. MORRIS C588 JEFFREY S. MORRIS C2815 JEFFREY T.KLIPP C2949 JEFHRELL KERR C213 JENIPHER BETH COWLEY C262 JENIPHERBETH COWLEY C991 JENIPHER BETH COWLEY Cl 593 JENNA M. REGAN C2780 JENNIFER A. JACKSON C.2215 JENNIFER BRYANT C460 JENNIFER DENISE MCKINLEY C3326 JENNIFER KLEE C2425 JENNIFER LEFKO C418 JENNIFER MASON C3345 JENNIFER PATRICIA LOPEZ Cl 280 JENNIFER STEVENSON C3303 JENNY JOHNSTON Cl 483 JEREMIAH LYLES JOHNSON Cl 484 JEREMIAH LYLES JOHNSON Cl 182 JEREMY ARMSTRONG C262 JEREMY ARMSTRONG C317 JEREMY ARMSTRONG C2965 JEREMY DAVIS C2867 JEREMY HASSINGER Cl 494 JEREMY HICKEY C2624 JEREMY IAN CUMMINGS C452 JEREMY IAN CUMMINGS C552 JEREMY IAN CUMMINGS C.2145 JEREMY JOSEPH WINRIGHT C.3198 JEREMY R. SHARP 98 JERIALDEA C3301 JERIMIAH HILGER C.3232 JERRON BERNARD DAVIS C2526 JERRY MITCHELL C2947 JESSA LYN MCCALL Cl 317 JESSE CARRASCO Cl 457 JESSE COATES C2952 JESSE L. HOPE JR. C.329 JESSE LAMAR LEARY C229 JESSE WISEMAN C2062 JESSICA ANAYA Cl 293 JESSICA BELANGER C288 JESSICA BELANGER 350 JESSICA BELANGER Cl 983 JESSICA CLARICE BECK C2121 JESSICA FONTENOT Cl 070 JESSICA GREER Cl 452 JESSICA HEDRICK Cl 476 JESSICA KNISS C2880 JESSICA L. DEW C474 JESSICA L. DEW C.583 JESSICA L. DEW C2647 JESSICA LYNN LOVE Cl 249 JESSICA MEDINA C2191 JESSICA NICOLE MOORE C1244 JESSICA RENDLE BK Matter Excluded/Included Portion of Claim: 20

58 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 58 of ITT STUDENT CLAIMS Claim No: Creditor C278 JESSICA RENDER C336 JESSICA RENDER Cl 578 JESSILYN HAYWARD HILTON JESUS MARCANO C489 JESUS MARCANO C595 JESUS MARCANO Cl 550 JESUS RAMIREZ C2655 JESUS RAMIREZ C2605 JILL GABRIDGE C1564 JIMMY BILBO C702 JIMMY 0. THOMPSON C2595 JIMMY R. ABAD Cl 995 JIMMY VASQUEZ Cl 612 JOANNA RODRIGUEZ C2865 JOE NIZNEK C579 JOELABISINA C3419 JOEL ALEXANDER 0,2405 JOEL F. JIMENEZ C2918 JOEL GARCIA JOEL QUINONEZ, JR. 0,2 JOEL R. DOMINGUEZ C2159 JOEL ROSS LOWTHER C2849 JOELSTRUBE C JOEL WILLIAMS C3.348 JOELLE HOLLENBAUGH C JOHN ALLAND C JOHN ALLAND JOHN BARNES C1472 JOHN BASS JOHN C. SAYLOR Cl 671 JOHN CANIA Cl 331 JOHN D. WALKER 0584 JOHN DELAVERGNE JOHN DOUGLAS HUGHES Cl 145 JOHN E. PERTEET JOHN E. PERTEET JOHN E. PERTEET JOHN F. AKER JOHN FUG 0606 JOHN FUG JOHN FULLER C317 JOHN GREENE JR 03 JOHN GREENE JR JOHN GREENE, JR. C3264 JOHN GUTZ Cl 831 JOHN H GILLMORE JR C2970 JOHN L WION III 08 JOHN LINO Cl 934 JOHN MACNEIL 0378 JOHN MACNEIL 0457 JOHN MACNEIL JOHN MARTIN JOHN MCCULLOUGH JOHN MCCULLOUGH JOHN N. GEORGE JOHN RICHARD BYBEE (RICK) JOHN STETTIN BK Matter Excluded/Included Portion of Claim: 21

59 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 59 of ITT STUDENT CLAIMS Claim No: Creditor C3227 JOHN THORNE C3310 JOHN TURNER, II C1205 JOHN W. GUYINN C268 JOHN W. GUYINN C324 JOHN W. GUYINN C2931 JOHNATHAN D. CONDON C2920 JOHNATHAN GARBER C2855 JOHNATHON DALLAS THOMPSON C3466 JOHNETAN PITALUGA C78 JOHNNY DOOLEY C3026 JON DONOHUE C491 JON DONOHUE CS97 JON DONOHUE C.2746 JON MICHAEL BELL C3183 JONAH ELIAS BRUMMETT C3184 JONAH ELIAS BRUMMETT C2243 JONATHAN BROWN C2783 JONATHAN BROWN Cl 631 JONATHAN E MARTINEZ 0813 JONATHAN E. MARTINEZ C2303 JONATHAN ERIC HAMILTON C3116 JONATHAN FAMOSO C2728 JONATHAN HAWLEY C2730 JONATHAN HAWLEY 094 JONATHAN SIBLEY C242 JONATHAN SIBLEY C8 JONATHAN SIBLEY 0928 JONATHAN SINGLEY C2731 JONATHAN SOLTE C3347 JONATHAN VALLES C83 JONATHAN VILLEGAS C3300 JONATHAN WHALEY C2228 JONATHON DEVORE C2230 JONATHON DEVORE C2838 JONATHON R. HILLIS C2001 JONQUEZ CALVIN 0891 JON-RYAN LEWIS C3267 JORDAN HUDSON C2974 JORDAN MINTER C2871 JORDAN SMITH C960 JORGE A. ROSALES, JR. C2579 JORGE E. GARCIA C233 JORGE QUIRINO C2320 JOSE D DELGADO C3005 JOSE DALE SIJERA C2106 JOSE DUENAS JOSE FEDERICO BARRIENTOS 0977 JOSE FEDERICO BARRIENTOS C732 JOSE G. ESCOBAR RIVERA C3262 JOSE LUIS RAMIREZ C2831 JOSE MONTES DE OCA SILVA C2467 JOSE MOYA 0410 JOSE ZEVALLOS C2612 JOSEPH A BLEDSOE C2022 JOSEPH A. MITCHELL C3109 JOSEPH AHRENS C3361 JOSEPH ALFRED MILLER BK Matter Excluded/Included Portion of Claim: 22

60 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 60 of ITT STUDENT CLAIMS Claim No: Creditor BK Matter C2462 JOSEPH BALLARD C235 JOSEPH CAMPBELL (TIMOTHY) Cl 17 JOSEPH DAVIS Cl 46 JOSEPH DAVIS C514 JOSEPH DAVIS Cl 376 JOSEPH DICICCO C2012 JOSEPH HAMLIN C2534 JOSEPH MICHAEL TAMBURRO C3311 JOSEPH ORR C651 JOSEPH OSBORNE C637 JOSEPH PULASKI C23S9 JOSEPH ROBERT MIXEN C3234 JOSEPH ROBERTS C2147 JOSEPH SCHETTLER C2361 JOSEPH TAYLOR C421 JOSEPH TAYLOR C517 JOSEPH TAYLOR C1287 JOSEPH WHITE C2841 JOSEPHINE I. SANDOVAL C2117 JOSEPHINE R. DIZON C1712 JOSH C. LINN C312 JOSHUA BURROUGHS Cl 613 JOSHUA CAIN DICKERSON C3101 JOSHUA CHARNIGO C931 JOSHUA DAVID HALL C2533 JOSHUA DEERWESTER C241 JOSHUA DORSEY C2806 JOSHUA LANTER C3251 Joshua M. Russell Cl 044 JOSHUA MARTIN C3086 JOSHUA MCEVOY C3367 JOSHUA MCNABB C2397 JOSHUA MICHAEL SERGEANT C222 JOSHUA MINJAREZ-BRUYERE C3333 JOSHUA RANKIN C3 JOSHUA RYDER C2688 JOSHUA SMITH C668 JOSHUA STANPHILL C3111 JOSHUA WOLFF C3340 JOSIAH HILL C508 JOSIAH HILL C615 JOSIAH HILT. C3344 JOY M. MORGAN C2270 JOYCE E. CHAVEZ C2967 JOYCE WRIGHT C2340 JUAN CASTILLO C2559 JUAN L HINOJOSA AVILA C2110 JUAN MARTINEZ C995 JUAN PLIEGO C JUAN VALERIO C2716 JUANITA LOPEZ Cl 382 JUAQUIN M. BROWN C588 JUDYBOYNTON C2419 JUDY ELLIS C341 JUDY WANG C2057 JULIA MARTIN C289 JULIA NUNEZ Excluded/Included Portion of Claim: 23

61 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 61 of ITT STUDENT CLAIMS Claim No: Creditor BK Matter Excluded/Included Portion of Claim: C3273 JULIAN AIRA C.3138 JULIAN CHRISTOPHER 2UUR C2173 JULIANA ELIZONDO C3004 JULIE CAVANAUGH/HATTIS C2551 JULIEANN LOPEZ C2616 JULIO ZUNIGA C.33S4 JUSTIN ABBOTT C795 JUSTIN CAMPER C2557 JUSTIN CHUN SING YUEN C2702 JUSTIN CLUCKEY C2310 JUSTIN HICKS Cl 884 JUSTIN JAMES C1492 JUSTIN LIDY 0316 JUSTIN M. O'NEAL 0611 JUSTIN M. PARKER 0168 JUSTIN MURCIA 0169 JUSTIN MURCIA C2889 JUSTIN R HUSVAR C2317 JUSTIN SCOTT 0922 JUSTIN WILLIS C9 JUSTIN YOCHEM 031 JUSTINA SERRANO C.2283 KALEB WARNER C2384 KAMERON CAYSON C2687 KAMERON CAYSON O 337 KAMERON REED DAVIS C324 KAMERON REED DAVIS C398 KAMERON REED DAVIS C2193 KARA MARCIAL 0942 KAREN ROCHAT C.2866 KARIHEATH-SHULTZ C470 KARI HEATH-SHULTZ C578 KARI HEATH-SHULTZ C.2857 KARI L ROWBOTHAM C.2306 KARRI HEDDEN C412 KARRI HEDDEN C303 KARRI HEDDEN C3336 KATELYN RZESZUTKO C2981 KATHE WILLINGS C KATHELENE B. POE C2.627 KATHIA YAMOUT C.453 KATHIA YAMOUT C553 KATHIA YAMOUT Parent plus loan excluded from class. Subsidized and unsubsidized Stafford loans C3199 KATHLEEN MYERS (JUSTIN) are included in class C821 KATHRYN L. CRADDOCK 020 KATHRYN V NOREEN CS45 KATHRYN V. NOREEN C2178 KATIANA DESIR C2213 KATLYN M. HICKEY CR81 KATRINA GOAD-AULT 0953 KATRINA MAXWELL C2061 KATYSERRA C2.132 KAYLA HARM C3256 KAYLAN DIEDERICH KAYLEE ROBERTSON 24

62 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 62 of ITT STUDENT CLAIMS Claim No: Creditor C861 KEEGAN L. PRIES C2469 KEISHA CORBETT C2311 KEITH ERIC SCHMIDT C2748 KEITH HESSMAN C2360 KEITH J. DOWERS, JR Cl 703 KEITH JAMES WERTMAN C2971 KEITH LE BLANC C848 KEITH WOODFORK C2427 KEIVON FRANKLIN C3171 KELIOMER CASTILLO C2700 KELLIE KAMROWSKI C3252 KELLY MILLER C2833 KELLY W.YELTON C2156 KELLYAN EDWARDS C3433 KELSEY HIDINGER C2923 KELSEY PONSEGRAU C2401 KEN CADIEUX C2648 KENDRA BOCKIUS Cl 443 KENDRA ENGLEHART 072 KENDRICK SHEARD C218 KENDRICK SHEARD C780 KENDRICK SHEARD 0727 KENIA MABEL GUEVARA C2248 KENNETH GRINDLE C.3432 KENNETH GUSTAFSON C3110 KENNETH GWOZDZ 04 KENNETH R. CLEMENS 09 KENNETH R. CLEMENS C89 Kenneth R. Clemens C2968 KENTAVIAN BRAYNT 0033 KENT AVIAN BRYANT C3408 Chapter 7 Bankruptcy Trustee) OOO KENYA JEROME ALEXANDER 026 KENYA JEROME ALEXANDER C461 KENYA JEROME ALEXANDER C2760 KENYATTA R. WALLACE C2237 KEOSHA SMITH C3312 KERRY MYLES 0875 KEVIN C. ROBERTSON II C3149 KEVIN CHASE KEVIN CRAWLEY 0216 KEVIN DEON BROWN 0292 KEVIN DEON BROWN C271 KEVIN DEON BROWN C286 KEVIN DEON BROWN C328 KEVIN DEON BROWN C349 KEVIN DEON BROWN C3477 KEVIN DIMEO C26 KEVIN DUONG C2843 KEVIN EUGENE HOLDER C2964 KEVIN L. WARD C594 KEVIN L. WARD 0515 KEVIN LEWIS C2341 KEVIN MELTON 0 91 KEVIN R. BELL C237 KEVIN R. BELL CR7R KEVIN R. BELL BK Matter Excluded/Included Portion of Claim: 25

63 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 63 of ITT STUDENT CLAIMS Claim No: Creditor C2886 KEVIN ROBERTS C213 KEVIN TARRELL DUNBAR C42 KEVIN TARRELL DUNBAR C57 KEVIN TARRELL DUNBAR C2474 KHALILOU NANAKASSE C2149 KIYI C2392 KIERA KERSEY C67 KIM KONOLD C2286 KIMBERLY A. MOORE Cl 991 KIMBERLY BORIAS C3229 KIMBERLY O'LEARY C2166 KIMBERLY RODRIGUEZ 0310 KIP LADWAYNE MALONE 0975 KIRK DICKINSON 095 KIRSTIN CRABTREE C36 KIRSTIN CRABTREE C49 KIRSTIN CRABTREE C3179 KIWANA WATSON WALKER 027 KIWANIS BROWNLEE C696 KIZZY LORRAINE SCOTT C25 KLAUDIA HOXHA 0854 KODY LAWRENCE VICKNAIR 023 KOFFIH. AGBOTON C2119 KOULAP SIVONGSAK C2205 KRISTA HARMON C2864 KRISTEN DEANN COWAN COX C2868 KRISTEN HALL 0518 KRISTEN SMITH C2517 KRISTI A. SCIAMBRA C2569 KRISTIAN THOMAS 0279 KRISTIN FOLEY C.3400 KRISTOFERJ. PAGLIARO C3020 KRYSTELLE HICKS C3212 Kwok-Ping E Tse C2408 KYERRAIVORY C429 KYERRA IVORY C526 KYERRA IVORY C2200 KYLE A. WINSLOW 0455 KYLE HEMMING 0711 KYLE HIDEY C2744 KYLE HIDEY C3302 KYLE MCCALL 0318 KYLE OLGUIN 0517 KYLE OLGUIN C3193 KYLE QUISENBERRY 0504 KYLE QUISENBERRY LACEY JENKINS LAKESHA LYNN WILLIS LANCE ANDREW FOWLER LANIER BUTLER LAREESE HOLLIS 0422 LARINA BOYD (MARTIN) LARRY WHITFIELD 0263 LASONYAL BONDS LATASHA RORIE LATASHA RORIE LATEISHA ANDERSON BK Matter Excluded/Included Portion of Claim: 26

64 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 64 of ITT STUDENT CLAIMS Claim No: Creditor C3315 LATOYA ASHFORD C27R9 LAURA ISABEL REYNA C2116 LAURA MCCLEARY C2R35 LAURA WALTERS C2813 LAUREN ELISE MALOON Cl 431 LAUREN MCCRACKEN 0186 LAURENCE VINZEN C28.S1 LAVARIS FRETT 0770 LAWRENCE CARVER C29.S3 LAWRENCE DANIEL HAFERTEPE C.2674 LAZARO CARDENAS 0956 LEISHAN CUBIT C825 LELAND A. DEKAY 034 LELIA STRANEY C32 LELIA STRANEY 020 LENZY ELLIOT GAITER C451 LENZY ELLIOT GAITER C95 LENZY ELLOITT GAITER C2640 LEON BLYE C455 LEON BLYE C555 LEON BLYE 0507 LEON GRIFFIN 0966 LEON GRIFFIN 0491 LEROY HARRISON III C21R2 LESLIE ESPARZA 004 LESLIE REED C498 LESLIE REED 0581 LESMANY NUNEZ 0335 LILLIE-ANNE LETARTE C3324 LINDA ORNDOFF 0694 LINDSAY M. SAUNDERS 0860 LINDSEY CANIZALEZ C3469 LINDSEY TERRY JOHNSON JR 080 LINK NGUYEN C.654 LINK NGUYEN C.336R LISA LUONG 0496 LISA MELLO C2860 LISA MELLO 0974 LISA MOLLET C2749 LISA VANDERMEY 0635 LISA WEBSTER 0609 LLOYD D. BORCHERT C789 LOGAN SANDERS 079 LORI JACKSON 0046 LORRAINE DANDREA (COLE) C2729 LOUISE MCDANIEL C2668 LOWELL EUGENE SHIPLEY, III C3201 LUCAS MYRAN C3001 LUCKNER GERMAIN C258 LUIS ANGEL MORALES C2488 LUIS E. REYES GONZALEZ C.2694 LUIS MEDINA 0857 LUIS TORO 0112 LUKE E. WHIPPO C2021 LYNDON JAMES SIPLEJR 0 32 LYNNETTE WILLIAMS C499 LYNNETTE WILLIAMS BK Mattel Excladed/Included Portion of Claim: 27

65 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 65 of ITT STUDENT CLAIMS Claim No: Creditor BK Matter Cl 438 MABY HERNANDEZ AUDELO Excluded/Included Portion of Claim: C294 MACEYNEAGLE C239 MACKEL MITCHELL Cl 37?. MAGALI HERNANDEZ C224.S MALACHI C. LITTLE C402 MALACHIC. LITTLE C492 MALACHI C. LITTLE C560 MALIAANA BRUHN C2222 MALISSIA L. BAUN C2.827 MANDY L. SLENDER C2142 MANUEL EDMUNDO FLORES PORTILLO C2583 MANUEL JEAN C446 MANUEL JEAN C543 MANUEL JEAN C352 MARC ANTHONY S NICDAO Cl 978 MARC ASISTORES Cl 69 MARCELLA Y. ARELLANO C495 MARCELLA Y. ARELLANO C.3217 MARCO AURELIO COMERIATO C2691 MARCO BERMUDEZ Cl 303 MARCUS D. WILLIAMS C2667 MARCUS GUTIERREZ C3243 MARCUS LEE HARRIS C3235 MARCUS SAM C3017 MARDEN NIEVES C2697 MARGARET CAMPBELL C3.305 MARGO LAZETT BELL C1761 MARIA GRISEL CARNERO GONZALEZ C356 MARIA GRISEL CARNERO GONZALEZ C433 MARIA GRISEL CARNERO GONZALEZ C.2812 MARIA ISABEL MCNAUGHTON C2752 MARIA T. MOYA C551 MARIA TESTA C3096 MARIAH ELIZABETH MEADER C3125 MARIAH ELIZABETH MEADER C3140 MARIANA BARRERA Cl 339 MARIE N. POPPS Cl.340 MARIE N. POPPS C2.385 MARIO FIGUEROA C.3296 MARIO HAWKINS JR. C2979 KYLE GROOM C488 KYLE GROOM C2822 MARK ANTHONY JOHNSON C2944 MARK ANTHONY SCOTT C2382 MARK BAHRS C269.3 MARK ERIC MOEN C2261 MARK FAJARDO C2262 MARK FAJARDO C2496 MARK IZQUIERDO C2403 MARK LEE DOAN C34.30 MARK PAYNE C22 MARK SINGLETON Cl 643 MARK UNIANDEYE Cl 278 MARKUS ANDREW CLARK C282 MARKUS ANDREW CLARK C.345 MARKUS ANDREW CLARK C535 MARKUS L. JONES 28

66 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 66 of ITT STUDENT CLAIMS Claim No: Creditor C2682 MARLAYNA MCBRIDE C.2253 MARLON BROWN 0.25 MARNEICE HOHNEKE C2552 MARQUES D. REEVES 0189 MARQUIS LAMAR HOOPER 0234 MARQUIS LAMAR HOOPER C851 MARQUIS LAMAR HOOPER MARRELL L. NEWMAN, SR MARRELL L. NEWMAN, SR MARSHALL HARTLESS Cl 642 MARSHONA SEAWRIGHT MARTEZ SCOTT MARTHA MASON MARTINQUE JENKINS MARY KATHLEEN HILLEY 0532 MARY L HENRY MARY L. HENRY 0438 MARY L. HENRY MARY PATTERSON-LAWSON MASON A. CUMMINGS 0308 MASON A. CUMMINGS 0377 MASON A. CUMMINGS MATEO THOMAS RIOS MATT BRENNAN MATT CARTER MATT CARTER 0525 MATT CARTER MATTHEW BARR MATTHEW BICKFORD C64 MATTHEW BROWN MATTHEW CHANDLER 0240 MATTHEW ELLIS MATTHEW HALLMON MATTHEW HOLLERMANN 0253 MATTHEW HOLLERMANN 0942 MATTHEW HOLLERMANN MATTHEW JAKUBAS MATTHEW L. MORRIS MATTHEW MALONEY MATTHEW MEDFORD 01 MATTHEW R. MCGUIRE MATTHEW R. MCGUIRE MATTHEW ROBERT WATERSTRADT 0.4 MATTHEW ROBERT WATERSTRADT 0596 MATTHEW ROBERT WATERSTRADT MATTHEW ROBERTS MATTHEW T JOHNSON MAURICE RILEY MAX SCHWARTZ 0166 MAXIMINO RIOS JR 0 MAXIMINO RIOS JR MAXIMINO RIOS JR MAXWELL LESLIE 0122 MAXYMILIAN R. SPIEWAK MAYRA CARBAJAL-NUNEZ MEGAN HAMM MEKEITA LINDER BK Matter Excluded/Included Portion of Claim: " 29

67 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 67 of ITT STUDENT CLAIMS Claim No: Creditor C24R9 MEKEITA LINDER Cl 885 MELIDA M. FLORES C2847 MELINDA KONO cm MELISSA ALEJANDREZ C24 MELISSA ALEJANDREZ C31 MELISSA ALEJANDREZ Cl 361 MELISSA BARRACAN C2510 MELISSA GAYLE BRAMBS C2120 MELISSA M. MENDEZ C2267 MELISSA MALONE Cl 447 MELISSA RUSH C2216 MELISSA WRIGHT Cl 42 MELODY ENGLISH Cl 673 MELVIN E. JENKINS C2785 MERLE WICHERN Cl 597 MICHAEL A. COLE C3441 MICHAEL A. COME C2011 MICHAEL A. LOAIZA C2995 MICHAEL ALEX MURRAY C2008 MICHAEL BIEGO Cl 95 MICHAEL BLAND C709 MICHAEL BLAND C2107 MICHAEL C. BADIAL C834 MICHAEL C. BARNES C2R03 MICHAEL CHRISTOPHER HALL C2741 MICHAEL CRADIT C2870 MICHAEL D MASON C2354 MICHAEL D. ST JOHN C304 MICHAEL DAVIS JR C1773 MICHAEL DEAN SWITALSKI SR C2148 MICHAEL DUNAWAY C3439 MICHAEL EDWARD DUNN Cl 709 MICHAEL EDWARDS C1746 MICHAEL FULKERSIN C708 MICHAEL GALI C3277 MICH ART, GAUTHREAUX C3369 MICHAEL GUERRA C3445 MICHAEL HOLODENKO C1289 MICHAEL J. BELL JR. C285 MICHAEL J. BELL, JR. C348 MICHAEL J. BELL, JR. Cl 20 MICHAEL J. TADYCH C2801 MICHAEL JOKY BOSWORTH MICHAEL JOSEPH LAABS C10 MICHAEL KEATING MICHAEL LINE MICHAEL LOAIZA MICHAEL LOIZA 0806 MICHAEL MACHADO MICHAEL MORRELL MICHAEL PASCHALL MICHAEL PIVARAL MICHAEL PIVARAL MICHAEL PYSKA MICHAEL R. MANION MICHAEL RIBAR MICHAEL RIDEOUT BK Matter Excluded/Included 'Portion of Claim: 30

68 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 68 of ITT STUDENT CLAIMS Claim No: Creditor BK Matter C2374 MICHAEL S. BIEGO Excluded/ Included Portion of Claim: C337 MICHAEL SHORT C2680 MICHAEL TUCKER C561 MICHAEL TUCKER Cl 474 MICHAEL W. DICHAZI C1.S80 MICHAEL W. DICHAZI C2549 MICHAEL W. SLOCUM II C3203 MICHAEL WALTER CONNELLY C2160 MICHAEL WAYNE FULKERSIN C2794 MICHAEL WAYNE FULKERSIN C2845 MICHAEL WILDER C3027 MICHAELLE LOUIS-CHARLES C3094 MICHAELLE LOUIS-CHARLES C.3174 MICHEAL MCCOMBER C610 MICHEAL MCCOMBER 0355 Michelle Chesnut c.3no MICHELLE CHESNUT C367 MICHELLE CHESNUT 049 MICHELLE CRENSHAW 086 MICHELLE CRENSHAW C.671 MICHELLE CRENSHAW 012 MICHELLE MAIER C416 MICHELLE MAIER C87 MICHELLE MAIER C2226 MIGUEL CUEVAS O 211 MIKE COPLEY C2394 MIKE GAINES C24 MIKE SARGENT C3314 MIKIA JASMINE BELL 0222 MISTY BROCK C275 MISTY BROCK C332 MISTY BROCK 0521 MISTY KILLINDER C320 MISTY KILLINDER C394 MISTY KILLINDER C2364 MISTY VALENCIA 05 MITCHELL D. HUGHES C21 MITCHELL D. HUGHES C93 MITCHELL D. HUGHES C.3403 MITCHELL WHEELER C267 MONIC HONIKER 0402 MONICA NIVENS C2792 MONICA R. CARTER C2357 MONIQUE L. BARRINGER C2844 MOSES CLARK C.467 MOSES CLARK C.575 MOSES CLARK 0170 MRS REMIAKANDE (DAYO IGHODALO) C3160 MYRA SARMIENTO 0347 MYTEARLEE 099 NACIRA NICOLE HALL C248 NACIRA NICOLE HALL C912 NACIRA NICOLE HALL 0041 NAKEEF WRIGHT C223 NAKEEF WRIGHT C273 NAKEEF WRIGHT C391 NANCY ADKINS 31

69 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 69 of ITT STUDENT CLAIMS Claim No: Creditor BK Matter C3393 NANCY S. RODEN Excluded/Included Portion of Claim: Cl 259 NASHEA SWINSON C2717 NATARA ROGERS C.3028 NATHAN DEMONTIGNY C3014 NATHAN EIKREM C2356 NATHAN ERICKSON C3139 NATHAN H. SKILES C2611 NATHAN HAYES C1940 NATHAN J. VILLANI C2464 NATHAN MICHELSEN C2271 NATHAN RYAN CHAVEZ Cl 221 NATHANIEL A. WHARTON C274 NATHANIEL A. WHARTON C331 NATHANIEL A. WHARTON Cl 733 NATHANIEL JAMES ROBENOLT C2809 NATHANIEL R. BOLLMAN Cl 683 NATHANIEL WALKER C2603 NATHANIEL WOLFE Cl 764 NATHLI ROBINSON Cl 698 NEITH HEREDIA C2699 NESTOR RAFAEL AYALA C459 NESTOR RAFAEL AYALA C563 NESTOR RAFAEL AYALA C2322 NICHOLAS E. COFFMAN Cl 842 NICHOLAS EDMOND C2562 NICHOLAS HARRIS Cl NICHOLAS PRICE C270 NICHOLAS PRICE C326 NICHOLAS PRICE Cl 128 NICHOLAS RAMOS Cl 936 NICHOLAS SMITH C2986 NICHOLE MCCORMICK C2151 NICK BOONE C2686 NICK W. BUCK C948 NICKOLAS SMITH C.2618 NICOLAS BATES C84 NICOLE AMBER AUGHE C2509 NICOLE HOWLAND C538 NICOLE HOWLAND C2638 NICOLE JESAITIS C2592 NICOLE JOHNSON C449 NICOLE JOHNSON C546 NICOLE JOHNSON C2645 NICOLE OLSON C2692 NICOLE RADER Cl 367 NICOLE SCHULTZ-RYAN C2246 NIKELL CRUMP C3297 NIKO N. SERVIN C2000 NIKOLAS PALELLA C2238 NIKOLAS PALELLA Cl 767 NINO YAGHOUBI C2217 NOEMIARJON C3074 Nora Potter C2675 NORMA TREVIZO Cl 197 NORTASHA SHAUNTA TUCK Cl 109 NWAMAKA MU OEGBUN AM C.2882 OLGA QUEVEDO 32

70 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 70 of ITT STUDENT CLAIMS Claim No: Creditor C475 OLGA QUEVEDO C5R4 OLGA QUEVEDO C2685 OLIVAS CURLEY Cl 588 OMAR ALKAM Cl 85 OMAR TORRES Cl 945 OMAR VERDINEZ C.3R0 OMARVERDINEZ C459 OMAR VERDINEZ Cl 2 ORLANDO GOMEZ C548 ORLANDO WEEKS C2.31 ORREN C. BRADLEY III C47 ORREN C. BRADLEY III C60 ORREN C. BRADLEY III C2660 OSCAR BOTELLO TREVIZO C2125 OSCAR GUEVARA C3154 OSCAR J. DIAZ C2047 PAMELA ANN MORRIS C466 PAMELA COLEMAN-ADAMS C2R.32 PAMELA GEORGE C362 PARIA BAKHSHI Cl 596 PARIS FLORES C2950 PASCHAL ABIAMIRI C2653 PATRIC HAWKS C2056 PATRICE LUCERO C2670 PATRICIA B. STEWART C2922 PATRICIA GARY C2825 PATRICK CAFFEY C1471 PATRICK GRAY Cl 143 PATRICK LEYBA C251 PATRICK LEYBA C305 PATRICK LEYBA C575 PATRICK NKANSAH C2376 PATRICK POWERS C1250 PAUL ASHER JARROLD Cl 563 PAUL ASHER JARROLD C1973 PAUL BRADLEY HAMMOND Cl 837 PAUL E. KENNEDY C29 PAUL GOODWIN C3318 PAUL GUALTIERI Cl 841 PAUL JARROLD Cl 23 PAUL LOUISSAINT C458 PAUL LOUISSAINT C98 PAUL LOUISSAINT C3320 PAUL MATHERNE C3155 PAULPESSAGNO C3395 PAULRAMM Cl 344 PAUL RICHARD BASLER C58 PAUL W. GUILMETTE C275 PAUL WELENC JR. C2651 PAULA KRISTINE MOORE C3382 PERRY DELONE, JR C3325 PERRY L. HOPPER SR. C2576 PERRY WILLIAM ROBINSON C445 PERRY WILLIAM ROBINSON C542 PERRY WILLIAM ROBINSON Cl 576 PETER E. GALEY C927 PETER MICHAEL HALL BK Matter Excluded/Included Portion of Claim: 33

71 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 71 of ITT STUDENT CLAIMS Claim No: Cl 704 C136S C3434 Cl 131 C2128 C2743 C3380 Cl 531 C2454 C283 C3224 C507 C613 Cl 464 C1745 C2528 C765 C2451 C3200 C2252 C2411 Cl 508 Cl 585 C2623 Cl 622 C2577 C316 Cl 617 C330 C406 C3338 C3427 C2014 C2591 C448 C545 C3016 Cl 584 C3 C95 C2721 Cl 230 Cl 231 C2988 C2977 C2973 Cl 46 Cl 84 C663 Cl 03 C2604 C450 C548 C2810 C2199 C2536 C2834 Creditor PETER SAMIR HANNA PHILIP A CARROLL PHILIP HIDINGER PHILIPPE FRASER PHILL KUCZYNSKI PHILLIP D. PATIRE PHILLIP EDGARS PHILLIP FRANTA PHILLIP SCOTT MITCHELL PHOEUTPECH PHYLLIS SCHERER PHYLLIS SCHERER PHYLLIS SCHERER POLINA MIKELOVA POLINA MIKELOVA PRISCILLA HARRIS QUENSHANA JOHNSON QUINTONETT O'NEAL QUOC KLEN NGUYEN RACHAEL WORLEY RACHEL CHESSOR RACHEL SMITH RACHEL SMITH RACHEL WILLIAMS RACQUEL HIBDON RALPH FRICK RALPH PARRISH RAMZI THEODORE NASSAR RAMZI THEODORE NASSAR RAMZI THEODORE NASSAR RANDALL GERALD TANNER, JR. RANDY SWINDALL RANDY TYLER MULLINS RASHANA HUIZAR RASHANA HUIZAR RASHANA HUIZAR RASHEA GAINES RASHEEN SHAMAR DAYS RAUL G. PEREZ RAUL LUIS VILLARREAL III RAYSANDOVAL RAYMOND P. CRUZ RAYMOND P. CRUZ RAYMOND R. MATUSKO REBECCA VANDOLEN REBECCA WERNER REGINALD JONES JR REGINALD JONES JR. REGINALD JONES JR. REGINALD MILLER II REGINALD RASHAD COSTEN REGINALD RASHAD COSTEN REGINALD RASHAD COSTEN RENE D. FELDER RENEE REMBERT REYNA ROGERS RICARDA BROWN BK Matter Excluded/ Included Portion of Claim: 34

72 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 72 of ITT STUDENT CLAIMS Claim No: Creditor Cl 700 RICARDO B. GARCIA C612 RICARDO SEPULVEDA Cl 076 RICHARD CHAD DORSEY C2295 RICHARD CRADDOCK C410 RICHARD CRADDOCK C501 RICHARD CRADDOCK cm 8 RICHARD FELLOWS C3.152 RICHARD GOTTRON Cl 036 RICHARD JOSEPH LEE Cl 059 RICHARD L. POLLOCK, JR C2137 RICHARD MOSLEY Cl 572 RICHARD SHAFFER JR 0214 RICHARD STAWOWY C2787 RICHARD WINNING C33 RICKIE GRANTHAM C2881 RICKY SOUTHWOOD C259 RICO LOGAN C53 RICO LOGAN C67 RICO LOGAN C.2375 RIKELVIN GARCIA C270 RILEY WILLIS 0556 RILEY WILLIS, III ROB THOURSON C22 ROBERT C. ADAMS 0052 ROBERT ALLEN PAYNTER III C226 ROBERT ALLEN PAYNTER III C277 ROBERT ALLEN PAYNTER III C3435 ROBERT BLAKE MARTIN C2573 ROBERT BRUGGE C541 ROBERT BRUGGE C3313 ROBERT D. BARLOW, JR. C2352 ROBERT DAVENPORT C28 ROBERT E. WILLIAMS, JR ROBERT G. HUTH C3389 ROBERT GONZALEZ C3397 ROBERT GONZALEZ C3265 ROBERT GUY 0787 ROBERT I. TRUJILLO C3415 ROBERT KOWALEWSKI 0986 ROBERT L. MORRIS C557 ROBERT LOWE C3374 ROBERT MCKENZIE C2877 ROBERT MILLER 0916 ROBERT MONTGOMERY 0281 ROBERT PASSMORE, JR. C283 ROBERT PASSMORE, JR. C346 ROBERT PASSMORE, JR. C2704 ROBERT PHELPS C2572 ROBERT ROGERS C3145 ROBERT SPITTLER C2443 ROBERT TSAI C ROBERT VALDEZ C2468 ROBERT WILLIAM WITTENBERG Cl 001. ROBERTO A. ORTIZ-LOPEZ C2241 ROCCO PALELLA C2214 ROCCO PATELLA C2 ROCHELLE BALL BK Matter Excluded/Included Portion of Claim: 35

73 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 73 of ITT STUDENT CLAIMS Claim No: Creditor Cl 75 ROCHELLE DENISE DAVIS C30 ROCHELLE DENISE DAVIS C40 ROCHELLE DENISE DAVIS C2204 ROCKQUETTA HARRIS C3031 RODDRICK C. GOODJOHN III C3032 RODDRICK C. GOODJOHN III C493 RODDRICK C. GOODJOHN III C494 RODDRICK C. GOODJOHN III C495 RODDRICK C. GOODJOHN III C2677 RODERICK DEON WILLIAMS C660 RODOLFO CORIA TORRES C2463 ROGELIO DEAN GARCIA C2453 ROGER KNIGHT, II C2761 ROKANIA D. DOWNING Cl 485 ROLAND ANDREW POLLACK Cl 867 ROLAND ANDREW POLIAK C2045 ROMAN MINEVICH C686 RON GORDON C977 RON R. SHAFFER C2948 RONALD A. THOMAS C.3411 RONALD GOFORTH JR. C2481 RONCI BROWN C2447 RONNI HYLTON C2654 RONNIE GODWIN C559 RONNIE GODWIN C2255 RONNYE BERNICE STEWART C403 RONNYE BERNICE STEWART C493 RONNYE BERNICE STEWART C1345 ROOSEVELT ZACHARY III C364 ROOSEVELT ZACHARY III C.2250 ROSEMARY BURTON C2895 ROSLIND Y PERRY C2921 ROSS DIRKSE C2138 ROSS-LIN HARN C2997 ROXANA ESTRADA Cl 064 ROXANNE RILEY C231 ROXANNE RILEY C281 ROXANNE RILEY C23 RUBY WINFREY C425 RUBY WINFREY C522 RUBY WINFREY Cl 033 RUDOLPH WILLIAMS Cl 333 RUMMY SULLIMAN C295 RUMMY SULLIMAN C359 RUMMY SULUMAN C2223 RUTH HACK Cl 836 RYAN ATKERSON C368 RYAN ATKERSON C447 RYAN ATKERSON C3 RYAN BERILLA C26/C3153 BENJAMIN, R.B. DEVOR Cl 142 RYAN F. RUSHING C250 RYAN F. RUSHING C304 RYAN F. RUSHING C2418 RYAN L. O'DAY C3359 RYAN LIVINGSTON C3159 RYAN MAUPIN BK Matter Excluded/Included Portion of Claim: 36

74 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 74 of ITT STUDENT CLAIMS Claim No: Creditot Cl 555 RYAN P. HAAS Cl 717 RYAN P. HAAS C.3270 Ryan P. Reed Cl 163 RYAN RICHARD WENTWORTH C257 RYAN RICHARD WENTWORTH C314 RYAN RICHARD WENTWORTH C3060 RYAN ROMERO C3061 RYAN ROMERO C2969 RYAN SCHEFFER C2232 RYAN SIEKAS C2417 RYAN THOMAS C2043 RYEN WILLIAM CRAIG BOWYER C2817 SABREENA MIDDLEBROOKS C465 SABREENA MIDDLEBROOKS C572 SABREENA MIDDLEBROOKS C3213 SABRINA RENEE BROWN Cl 339 SALVADOR SUMARAN C2924 SAM DEBELL A C2465 SAMANTHA NEWELL Cl 706 SAMANTHA SEIFERT 0348 SAMANTHA SEIFERT C425 SAMANTHA SEIFERT C2195 SAMANTHA SMITH C1441 SAMANTHA YOUNG C310 SAMANTHA YOUNG C379 SAMANTHA YOUNG C415 Samuel DeBella 0507 Samuel DeBella 0791 SAMUEL GALLAGHER C2114 SAMUEL KHACHERIAN SAMUEL ORLANDO 0824 SAMUEL TAYLOR O 825 SAMUEL TAYLOR SANDRA LUZ YZAGUIRRE 0510 SANDRA LUZ YZAGUIRRE C618 SANDRA LUZ YZAGUIRRE SANDRA WATSON 0380 SANDRA WATSON SANKYTA SMITH C2629 SANTIAGO A BARRERA 0388 SANTOS CALDERON SA A GREAVES SARA MILLER 0374 SARAH ENYEART 0782 SARAH ENYEART 0784 SARAH ENYEART 027 SARAH PEEPLES DAWSON SARAH SMALL 0796 SARAN CONDE C362 SARAN CONDE C442 SARAN CONDE C3478 SAUL FLORES SAUL WILLIAMS III C2280 SAWO EESIAH C24 SCOTT A. SUDER SCOTT A. YOUNG 082 SCOTT BRAND BK Matter Excluded/Included Portion of Claim: 37

75 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 75 of ITT STUDENT CLAIMS Claim No: Creditor BK Matter Excluded/Included Portion of Claim: C31 SCOTT BRAND C42 SCOTT BRAND C3173 SCOTT BUSIER TARSI SCOTT CISCO C640 SCOTT DAVIS 0417 SCOTT HUTTO C3022 SCOTT LUTTERMOSER C2264 SCOTT MAUTZ CA9SS SCOTT MAXWELL T2202 SCOTT P. BAUMGARTE C2514 SCOTT THRASHER C3103 SEAN COALBROOKE C3321 SEAN D MATRESE C9R2 SEAN LOVELADY C.2684 SEAN S. CASTLE C2951 SEAN S. GARY 0697 SEBRINA SMITH T.2502 SELVIPAULIAH 0849 SERGIO CASTRO C.3376 SERGIO JARA T3142 SETH OLSEN C.2636 SETH PONTIFF C2712 SHAD BURROUGHS 0911 SHANA CHAPMAN T.3161 SHANA RILEY 0243 SHANAKAY CAMPBELL-LAWRENCE 0730 SHANE ASHER AND BARLETT ASHER C3115 SHANE MONEY C2006 SHANE NICHOLS 0445 SHANE SMITH 0944 SHANE SWANGER 0141 SHANICE MITCHELL C2313 SHANNAN FITZGERALD 0714 SHANNITA MARIE JOHNSON C3464 SHANTEL PAYNE C.798 SHAREECE BARRETT-SMITH T.71S SHARLEE KNIGHT C79 SHARNICE CRAWFORD T.2547 SHARONDA BREWER T2037 SHARRY L. MARSHALL T.2628 SHAUN SMITH T4S4 SHAUN SMITH C554 SHAUN SMITH C32S0 SHAWN PATRICK STOVER T.3388 SHAWN SAMPSON T3099 SHAWN SWEENEY 0229 SHAWN THOMPSON T.3404 SHAWNAJ. FERGUSON (aka ShawnaJ. Taylor) T2350 SHAYNE SNEED C515 SHAYNE SNEED 0311 SHEENA BRILEY 0689 SHEILA MORING C.345 SHEILA MORING C.422 SHEILA MORING SHEILA WILLIAMS T.498 SHEILA WILLIAMS T.601 SHEILA WILLIAMS 38

76 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 76 of ITT STUDENT CLAIMS Claim No: Creditor BK Matter Cl S29 SHELBY HORNE Excluded/Included Portion of Claim: C3100 SHELBY STANLEY Cl 09 SHEMEKA DRUMMOND C411 SHEMEKA DRUMMOND C85 SHEMEKA DRUMMOND C22S7 SHERRY SHOLOCK C673 SHERYL HEMMINGWAY C2274 SHIRLEY ARQUINES C22.39 SHONTANA RUSSELL C3131 SHUNDRIKA CLARK C260 SIDEAM M. RANDOLPH C54 SIDEAM M. RANDOLPH C68 SIDEAM M. RANDOLPH Cl.528 SIDNEY BLAKE ADDISON C322 SIDNEY BLAKE ADDISON C396 SIDNEY BLAKE ADDISON C2015 SIJAN CICELLY MARTINEZ C443 SILABA MPASU C455 SILABA MPASU C959 SILABA MPASU C596 SMITH AWAMBU C705 SOCRATES L. PENA II a 94 SOLOMON FISHER III C704 SOLOMON FISHER III Cl 55 SOLOMON FISHER, III C1571 SOLOMON L. WALKER, JR C203 SONDRABONTON C204 SONDRA BONTON Cl 336 SONIA RAMIREZ C1217 SONYA PALMER C272 SONYA PALMER C329 SONYA PALMER Cl 497 SOPHIA DANIELS Cl 542 SOPHIA TRAN C2567 SORRELL STAGGERS C3323 SPENCER CAIN C2492 SPURGEON DANIEL ANDERS PAULIAH C1454 STACEY HOWELL Cl 972 STACIE L. BARRETT C2735 STANLEY EUGENE BUSBY, II C429 STEDSON BUTLER Cl 93 STEPHANIE CORDOVA C35 STEPHANIE CORDOVA C47 STEPHANIE CORDOVA C2414 STEPHANIE DEMPS C2050 STEPHANIE DEWEESE Cl 76 STEPHANIE FISH C222 STEPHANIE FISH C800 STEPHANIE FISH C3406 STEPHANIE FRANKS Cl 639 STEPHANIE MONTERO (NOW ZERR) C796 STEPHANIE RIDDEL Cl 73 STEPHANIE RIDDEL C3381 STEPHANIE TORLINA C689 STEPHEN D. BURKETT Cl 319 STEPHEN DANIEL HYSON C351 STEPHEN DANIEL HYSON

77 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 77 of ITT STUDENT CLAIMS Claim No: Creditor C2424 STEPHEN DAVID PITZER STEPHEN PEASE C2244 STEPHEN SCARBOROUGH C433 STEPHEN TAYLOR C2984 STEPHEN WALKER Cl 614 STEPHEN YONZAL HARRIS C3188 STEPHONE MITCHELL STEVEN BAILEY STEVEN BOURGEOIS STEVEN DOATY C2388 STEVEN HARRIS STEVEN JIMENEZ Cl 646 STEVEN JUDE MARTINEZ C3163 STEVEN KENNEDY C2786 STEVEN KING 0464 STEVEN KING 0571 STEVEN KING STEVEN L. HARRIMAN STEVEN M. LADD STEVEN MANNE STEVEN MCCOMBS 0311 STEVEN PHARO C63 STEVEN PHARO C80 STEVEN PHARO Cl 063 STEVEN PRICE STEVEN PRICE C230 STEVEN PRICE 0280 STEVEN PRICE C1634 STEVEN SIMMONS STEVEN TYLER MURPHY SUMMER DANIELLE HAVERKOS SUSAN D. PARSLEY SUSAN DAILEY 0340 SUSANA GALLEGOS SUZANNE FRANKLIN SUZANNE FRANKLIN 0297 SUZANNE FRANKLIN TABITHA BARRIENTES TAD CROWSON TAHZENEKA STANLEY TALIA STOKES 0456 TALIA STOKES TALIA STOKES TALIEA POCAIGUE TALMADGE LEE TAMECKO TURLEY TAMECKO TURLEY TAMEKA COLEMAN 0854 TAMEKA DUDLEY TANNER REED THRASH TARRELL HINES 029 TARRELL HINES 039 TARRELL HINES TASHA CRUTCHER TASHA M. SMITH TASHANNA FRANKSON TAVARIS T. PEYTON BK Matter Excluded/Included Pottion of Claim: 40

78 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 78 of ITT STUDENT CLAIMS Claim No: Creditor BK Matter Cl 147 TAWANDA MCCRAE C.241?. TAYLOR HARRIS CIO TAYLOR RAYMOND Cl 5 TAYLOR RAYMOND C75 TAYLOR RAYMOND C21R3 TEANG UNG C2423 TEQUILLA SHELTON Cl 342 TERRA DURBIN C.243.S TERRY BODDY JR C2824 TERRY BODDY JR. C2802 TERRY GRAHAM C3461 TERRY GUTIERREZ Cl 876 TERRY LAWRENCE CORNISH C371 TERRY LAWRENCE CORNISH C450 TERRY LAWRENCE CORNISH C2814 TERRY M. HILL C2278 THEODORA RANDOLPH Cl 450 THEODORE HUDSON C381 THEODORE HUDSON C2615 THEOTIS K WEATHERSPOON C1917 THERESA BURNHAM C.2122 THERESA BURNHAM C3085 THERESA HARRIS C2593 THERESA SCHMIDT Cl 167 THIEN KIM C518 THOMAS A SCHWARZE C2367 THOMAS A. SCHWARZE C422 THOMAS A. SCHWARZE C1375 THOMAS ANDERSON C3098 THOMAS BRANDON FRYER C222.9 THOMAS D DUNCAN Cl 391 THOMAS E. JOHNSON C2231 THOMAS HEISLER C3259 THOMAS INMAN C2535 THOMAS KAISER C.1420 THOMAS SNOW C2589 THOMAS VINCENT MANNING JR. C2916 TIANA BREAULT Cl 144 TIFFANY DOUGHERTY C2597 TIFFANY HOTT C2192 TIFFANY M TUCKER C2726 TIFFANY WALKER C3 TIMOTHY BICKEL C393 TIMOTHY BICKEL C478 TIMOTHY BICKEL C767 TIMOTHY CARPENTER Cl 362 TIMOTHY DEL GREEN C302 TIMOTHY DEL GREEN C370 TIMOTHY DEL GREEN C.2777 TIMOTHY J. ADAMS Cl 88 TIMOTHY JOHNSON C232 TIMOTHY JOHNSON C25 TIMOTHY JOHNSON C843 TIMOTHY JOHNSON C3084 TIMOTHY KINNIE C3045 TIMOTHY O. JENKINS C600 TIMOTHY O. JENKINS Excluded/Included Portion of Claim: 41

79 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 79 of ITT STUDENT CLAIMS Claim No: Creditor Cl 442 TIMOTHY PAUL NEWMAN Cl 109 TIMOTHY R. REITER II CIOS TIMOTHY T. A. JOHNSON C18 TIMOTHY T. A. JOHNSON C33S0 TIMOTHY WIT.LIAMS C28S4 TIMOTHY ZUBYKJR C2380 TINA MCCUNE C2689 TO AN DUONG CIOS TOCCARA PRECIOUS CLAY Cl 34 TOCCARA PRECIOUS CLAY C501 TOCCARA PRECIOUS CLAY C210S TODD A. DECKARD C18S3 TODD BRADFORD Cl 129 TODD CUSHMAN C248 TODD CUSHMAN C302 TODD CUSHMAN Cl 789 TODD E. IHLE Cl 674 TODD GERARD BADER C2033 TOMAS VAQUERANO CORTEZ C13S0 TONI M. BRYANT C324S TONI WRIGHT C1499 TONYA FIGHTMASTER Cl 13 TONYA GERS C21 TONYA GERS C27 TONYA GERS C2696 TORREY HUGHES C2941 TRACY DEAN NEVILLE C3436 TRACY HORT Cl 523 TRACY LYNN SUTTLES C23S3 TRAVIS COMBS C2409 TRAVIS COMBS C3249 TRAVIS J. WALLENFANG C1998 TRAVIS KEGG C3195 TRAVIS PIERCE C3349 TRAVIS SCHOLL C2442 TRAVIS STEWART C3129 TRAVIS SYSLO C7S3 TRAVIS T. CRAIG Cl 985 TRAVIS W. BARNES C32SS TRAVIS WALLENFANG C1430 TRAVIS WIBLE C2187 TRAYTONJORDAN Cl 204 TREMAYNE JACKSON C1740 TRENT ASH C3113 TREVOR BOBO C502 TREVOR BOBO Cl 95 TREVOR JAMAL ENGRAM C243 TREVOR JAMAL ENGRAM C5 TREVOR JAMAL ENGRAM C3215 TREVOR JERMAINE CHRISTIAN C506 TREVOR JERMAINE CHRISTIAN C612 TREVOR JERMAINE CHRISTIAN Cl 303 TRICIA CHARLESWORTH C2708 TROY HEITMANN Cl 524 TROY K. SCHRADER C2040 TROY RONDEAU C.0 TULANCE THOMAS BK Matter Excluded/Included Portion of Claim: 42

80 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 80 of ITT STUDENT CLAIMS Claim No: Creditor BK Matter Excluded/ Included Portion of Claim: C3246 TYLER PITNER 0216 TYLESHAALLEN C206 TYRONE LA'NEAR DUDLEY C39 TYRONE LA'NEAR DUDLEY C52 TYRONE LA'NEAR DUDLEY C2R19 TYSON R. BROWN Cl 9.31 ULISSES MARIA C2287 VALERIA JOHNSON C408 VALERIA JOHNSON C499 VALERIA JOHNSON Cl 53 VALERIE TAYLOR HOT!IS Cl 88 VALERIE TAYLOR HOLLIS C681 VALERIE TAYLOR HOLLIS C2344 VARDGEZ TOROSSIAN C.2724 VEENAT KAVAN C2594 VERONICA BARRERA C.2739 VERONICA CUNNINGHAM C3 VERONICA DELVADA WILLIAMS C391 VERONICA DELVADA WILLIAMS C476 VERONICA DELVADA WIT HAMS C2919 VICKI LIGHTNER C2288 VICKY WARNER 0394 VICTOR CHATMAN C3385 VICTOR GAETA C2893 VICTOR L. GUMBS C479 VICTOR L. GUMBS C587 VICTOR L. GUMBS C2711 VICTOR L. HAGANS C2811 VICTOR L. HAGANS VICTOR L. HAGANS C3328 VICTOR RODRIGUEZ C2856 VICTORIA C. PYLES C469 VICTORIA C. PYLES C577 VICTORIA C. PYLES 0191 VICTORIA ESTES 0486 VICTORIA M. LOPEZ C3225 VINCENT BRITTON 0223 VINCENT HUTCHINSON C276 VINCENT HUTCHINSON 033 VINCENT HUTCHINSON 0412 VINCENT M. CRIDER C2227 VINSON LONGLEY C400 VINSON LONGLEY 0489 VINSON LONGLEY VIVIAN JOHNSON VLADISLAV STEPANENKO WALID NASR C2269 WALTER M MYERS WALTER NASH 0894 WALTER W. PIPER III WANESHIA NORMAN WAYNE LEWIS FOWLER WENDI MYERS C3241 WESLEY DAVID WESLEY DISTAD C2480 WESLEY TALBOT 0461 WESSIE N. EMMERT 43

81 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 81 of ITT STUDENT CLAIMS Claim No: Creditor C2260 WHITNEY LESHEA KING C404 WHITNEY LESHEA KING C494 WHITNEY LESHEA KING C3254 Whitney Peete C2345 WHITNEY PETERSON C2326 WILKE PIERRE C655 WILLETTER MORRISON Cl 620 WILLIAM BRISCOE C2709 WILLIAM CORWIN Cl 166 WILLIAM EDWARDS JACOBS, JR. C2511 WILLIAM FITZGERALD C252S WILLIAM FORD C443 WILLIAM FORD C539 WILLIAM FORD Cl 536 WILLIAM J. BELL, II C2158 WILLIAM J. CLARK C3144 WILLIAM LAWSON C3271 WILLIAM LEWIS 0419 WILLIAM LUNDQUIST C329.5 WILLIAM SCHONFELDER C614 WILLIAM SCHONFELDER 0 74 WILLIAM TOWNES C2985 WILLIS KEITH HALL C629 WILNEACE T. GRANT XOTOVIO BELL C933 YACOUBA OUATTARA C408 YANETH RUIZ C2943 YASHAEL URENA C3401 YASHMINA UEJIMA C2520 YCNANSANCHEZ C2737 YESENIA MEDINA 0980 YEUGENY SKOPINSKY 0467 YONNIE TRAVIS C3157 YOSEFE TEGAYE C2431 YULON ORLANDO JOHNSON C2757 YVETTE DE LEON C3399 ZACHARY ASA VIVIAN C211 ZACHARY CASTRO C40 ZACHARY CASTRO C.5.5 ZACHARY CASTRO C2828 ZACHARY D. BRAYFIELD 0713 ZACHARY FRANK TAYLOR C232 ZACHARY HARTMAN C3021 ZACHARY NELSON 0248 ZACHARY P. ERICKSON C338 ZACHARY P. ERICKSON 077 ZACHARY PAISLEY C763 ZACHARY TYLER HUGHES 0432 ZACKERY PAUL SALZWEDEL O 896 ZAIRA YVONNE ORTIZ C3440 ZANDRA PATTERSON C3220 ZEH GIBSON BK Mattet Excluded/Included Portion of Claim: 44

82 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 82 of Exhibit 4 (Notices)

83 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 83 of UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF INDIANA INDIANAPOLIS DIVISION IN RE: ) ) ITT EDUCATIONAL SERVICES, INC., et al.1 ) Case No JMC-7A ) Debtors. ) Jointly Administered NOTICE TO STUDENTS: SETTLEMENT OF STUDENT CLASS ACTION PLEASE READ THIS NOTICE CAREFULLY. YOUR RIGHTS MAY BE AFFECTED. A FEDERAL COURT AUTHORIZED THIS NOTICE. THIS IS NOT A SOLICITATION FROM A LAWYER. YOU ARE NOT BEING SUED. This Notice is posted at Who is This Notice For? This Notice applies to you if you are a former student of ITT Educational Services, Inc. or Daniel Webster College, Inc. (collectively, the Debtors ), who attended ITT between January 1, 2006 and September 16, 2016, or attended Daniel Webster College between January 1, 2009 and September 16, 2016 (collectively the Settlement Class ). This Notice is being sent to (a) those members of the Settlement Class who have filed Student Proofs of Claim;2 (b) those former students who have or had accounts placed for servicing or collection with University Accounting Services, LLC or FirstSource Financial Solutions, Inc./One Advantage and who have made payments since the Petition Date; and (c) all parties who have requested that they receive notice in the Debtors chapter 7 bankruptcy cases. 1 The debtors in these cases, along with the last four digits of their respective federal tax identification numbers, are ITT Educational Services, Inc. [1311]; ESI Service Corp. [2117]; and Daniel Webster College, Inc. [5980]. 2 Student Proofs of Claim means proofs of claim filed by individual students who are members of the Settlement Class to the extent that such proofs of claim are encompassed by proofs of claim filed on behalf of the Settlement Class [Claim Nos. 424,520 and 2383]. For the avoidance of doubt, Student Proofs of Claim do not include any proofs of claim filed by individual students asserting a claim based on dishonored checks issued by ITT to students for, among other similar reasons, Title IV funds, including Pell grants, student aid funds administered by the Department of Education, or state-based student aid funds that were in excess of the tuition owed by the student for completed semesters but were disbursed to ITT by the state, federal government, or other entity with the intention that ITT act as a pass-through and disburse the funds to the students.

84 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 84 of What is This Notice About? A proposed settlement has been reached in a currently pending class action lawsuit against the Debtors in the chapter 7 bankruptcy cases of ITT Educational Services, Inc. ( ITT ), et al. What is this Lawsuit About? On September 16,2016, ITT and Daniel Webster filed for relief under chapter 7 of the Bankruptcy Code in the United States Bankruptcy Court for the Southern District of Indiana (the Court ). On January 3, 2017, former students of the Debtors, on behalf of themselves individually and the Settlement Class (collectively, the Students ), filed a Class Action Adversary Complaint in the Court [Case No ] (the Lawsuit ), and class proofs of claim against each of the Debtors [Claim Nos. 284, 347, and 1285, as amended by Claim Nos. 424, 520, and 2383]. The Lawsuit alleges that the Debtors violated consumer protection laws by engaging in deceptive practices, using abusive, unfair and deceptive recruiting and retention strategies and financial aid practices, and by falsely obtaining accreditation. The Students further allege the Debtors breached their enrollment contracts with the Students by closing their operations before certain students in the Settlement Class could complete their educations and by denying students the benefit of promised post-graduation refresher courses and lifetime job placement assistance. The Students further allege the Debtors breached the covenants of fair dealing and good faith contained in the enrollment contracts and included unconscionable terms in such contracts. The Students sought, among other relief, damages including costs and attorneys fees, and an order enjoining the collection of all private student loans. What is the Status of the Settlement? After engaging in good-faith negotiations, the Debtors and the Students agreed to the terms of a settlement agreement (the Settlement Agreement ), described below, to resolve their disputes. On [ ], 2017, the Trustee filed a motion seeking Court approval of the Settlement Agreement [Doc [ ]] (the Motion ). A copy of the Settlement Agreement is attached to the Motion and is available free of charge on the Debtors case website, available at On [ ], 2017, the Court entered an order preliminarily approving the Settlement Agreement [Doc [ ]]. The Court will hold a further hearing on the Motion on [ ] to determine approval of the Settlement Agreement on a final basis. What Are the Key Terms of the Settlement Agreement? Student Receivables Student Receivables are loans that ITT made to students to finance their tuition and other charges and fees owed to ITT. The Trustee will return all funds to the students who made payments for debts owed directly to ITT on or after September 16, 2016 to ITT, UAS, FirstSource, Security Credit Systems, Inc., Premiere Credit NA, General Revenue Corporation, and any and all other 2

85 Case JMC-7A Doc 22-1 Filed 01/03/18 EOD 01/03/18 14:07:58 Pg 85 of agencies. The amount returned shall be reduced, pro rata, by the amount deducted from the aggregate of such payments by the collection agencies, including UAS, FirstSource, Security Credit Systems, Inc., Premiere Credit NA, General Revenue Corporation, and reasonable administrative cost associated with returning the funds. Each of the collection and servicing agents has marked the Student Receivables as paid in full or has deleted the Student Receivables from the students credit records and files and no further reporting will be made to any credit bureaus about Student Receivables. The Trustee will not sell, assign, transfer, pledge, collect, or in any way dispose of any of the Student Receivables. Students Allowed Claim The Students Proofs of Claim will be allowed in the amount of the $1,500,000,000, as unsecured claims. In other words, all former students who are part of the Settlement Class will share an allowed claim of $1.5 billion. If the Department of Education discharges, forgives or cancels all or any part of the Settlement Class federal student loans or any such loan is otherwise forgiven or deemed paid while the bankruptcy case is pending, the Students claim may be reduced one dollar for each dollar of debt that the Department of Education discharges or cancels. However, the Claim will not be reduced below the amount of $1,099,896,000. At the end of the bankruptcy case, the Trustee will distribute the funds she is holding on a pro rata basis to all of ITT s creditors according to the priorities set forth in the Bankruptcy Code. Several types of claims such as amounts due for the expenses of the bankruptcy, amounts due to employees and for taxes will be paid ahead of the Students Proofs of Claim. Once the amount, if any, that will be paid on account of the Students Proofs of Claim is known, the class representatives will file a proposed division of any money to be distributed to the class members. It is not yet known if there will be money in the bankruptcy estate to be distributed on account of the allowed Students Proofs of Claim, but it appears likely that the amount to be received will be significantly less than $1.5 billion. Release of Claims In exchange for the Agreement, the Settlement Class is releasing the Trustee, in her capacity as Trustee and individually, all professionals engaged by the Trustee either on her behalf or on behalf of the Debtors estates from any and all claims, demands, obligations, damages, action, or causes of action, in law or in equity, the Student Class has or may have against the Trustee for any reason whatsoever existing prior to or as of the Settlement Effective Date. This does not release other parties. Are There Lawyers Representing Me? The Court has approved lawyers (called Class Counsel ) to collectively represent all Settlement Class Members. You will not be asked to pay your own personal money for the services of these attorneys and their associates and staff in litigating this case and negotiating this Settlement. Only 3

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