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Calendar No.: NOTE OF ISSUE Index No.: 160605/2015 For use of clerk Supreme Court of State of New York Hon. Nancy Bannon County of New York PING LIN, NOTICE FOR TRIAL Plaintiff, Trial by jury demanded... - against - Of all issues...x... Of issues specified below... 100 WALL STREET PROPERTY LLC, Or attached hereto... GANT U.S.A. CORPORATION AND Trial without jury... CDC HOUSING INC. ' Defendants. 100 WALL STREET PROPERTY LLC, Third Party Plaintiff Filed by attorney for plaintiff Date summons served 10/15/2015 Date service completed 10/21/2015 Date issue joined 02/02/2016 NATURE OF ACTION OR SPECIAL PROCEEDING GANT U.S.A. Tort: Corporation, Motor vehicle negligence... Third Party Defendant, Medical malpractice... 2nd Third Party Plaintiff Other tort...labor Law... Contract... Contested Uncontested CDC HOUSING, Inc., Central Tax certiorari Development Corp. and CD DESIGN, C9onede INC., 2nd Third party Defendants. matrimonial... matrimonial... Other (not atitemized above) (specify)... Indicate if this action is brought as a class action Amount demanded: a judgment against the Defendants in a sum of money having a present value that exceeds the jurisdictional limits of all lower courts which would otherwise have jurisdiction of this matter. Other relief: cost, disbursement and interest from date of accident. Special preference claimed under N/A on the ground that N/A Insurance carriers, if known: Zurich American CAESAR and NAPOLI, P.C. Attorneys for Plaintiff PING LIN 233 Broadway, Suite 2348 New York, New York 10279 212-226-2100 Insurance Company 140 Littleton Rd. Suite 201, Parsippany,. NJ 07054 Biedermann, Hoenig, Semprevivo Attorney for Defendants 100 Wall Street Property LLC and GANT USA CORPORATION 60 East 42nd Street, Suite 660 New York, NY 10165 Phone: (646) 218-7560 1 of 5

Law Office of Leonard Rodney Attorneys for Defendant CDC HOUSING 1565 Franklin Avenue Mineola, NY 11501 (516) 498-1717 2 of 5

CERTIFICATE OF READINESS FOR TRIAL (Items 1-7 must be checked) Completed Waived Not required 1. All pleadings served X 2. Bill of Particulars served X 3. Physical examinations completed X 4. Medical reportsexchanged X 5. Appraisal reports exchanged X 6. Compliance with section 202.16 of the Rules of the Chief Administrator (22NYCRR 202.16) in matrimonial actions X 7. Discovery proceedings known to be necessary completed X 8. There are no outstanding requests for discovery. 9. There has been a reasonable opportunity to complete the foregoing proceedings. 10. There has been compliance with any order issued pursuant to section 202.12of the Rules of the Chief Administrator (22NYCRR 202.12) 11. If a medical malpractice action, there has been compliance with any order issued pursuant to section 202.56 of the Rules of the Chief Administrator. (22 NYCRR 202.56) 12. The case is ready for trial. Dated: New York, New York, Augusy09, 018 / Christ KÓi, Caesar and Napoli, PC Attorneys for Plaintiff PING LIN 233 Broadway, Suite 2348 New York, New York 10279 212-226-2100 3 of 5

SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK -----------------------------------------------------------------------X PING LIN, AFFIRMATION OF COMPLIANCE Plaintiff, - against - 100 WALL STREET PROPERTY LLC, GANT U.S.A. CORPORATION AND CDC HOUSING INC., X Index No.: 160605/2015 Defendants. 100 WALL STREET PROPERTY LLC, Third Party Plaintiff Third Party Defendant, 2"4 Third Party Plaintiff, CDC HOUSING, Inc., Central Development Corp. and CD DESIGN, INC., 2nd Third party Defendants ----------------------------------------------------------------------X X Christian Kubic, an attorney admitted to practice before the Courts of this State affirms the truth of the following under the penalty of perjury: 1. I am fully familiar with the facts and circumstances of this action based upon a review of the case file and the investigation materials contained therein. 2. This affirmation is submitted in connection with the filing of a Note of Issue. 3. All directives of the Preliminary Conference Order of Judge Nancy Bannon dated August 11, 2016 have been complied with. 4. Depositions of all parties have been conducted. A physical examination of Plaintiff was conducted by Dr. Ramesh Gidumal on June 18, 2018. 5. All relevant witness information, party statements and medical records, reports and/or authorizations have been exchanged. 4 of 5

WHEREFORE, Plaintiff respectfully requests that the instant matter be promptly placed on the trial calendar. Dated: New York, New York August 09, 2018 Christian Kubic, Esq. 5 of 5