PlainSite. Legal Document. California Central District Court Case No. 2:12-cv JGB-PLA Zhang Ziyi v. China Free Press Inc et al.

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PlainSite Legal Document California Central District Court Case No. 2:12-cv-05216-JGB-PLA Zhang Ziyi v. China Free Press Inc et al Document 51 View Document View Docket A joint project of Think Computer Corporation and Think Computer Foundation. Cover art 2015 Think Computer Corporation. All rights reserved. Learn more at http://www.plainsite.org.

Case 2:12-cv-05216-DMG-PLA Document 51 Filed 01/04/13 Page 1 of 13 Page ID #:942 1 2 3 4 5 6 7 8 9 JOHN MASON - State Bar No. 51116 jmason@glaserweil.com PATRICIA L. GLASER - State Bar No. 55688 pglaser@glaserweil.com ADAM LEBERTHON - State Bar No. 145226 aleberthon@glaserweil.com ALEXANDER M. KARGHER State Bar No. 259262 akargher@glaserweil.com GLASER WEIL FINK JACOBS HOWARD AVCHEN & SHAPIRO LLP 10250 Constellation Boulevard, 19th Floor Los Angeles, California 90067 Telephone: (310) 553-3000 Facsimile: (310) 556-2920 Attorneys for Plaintiff Zhang Ziyi 10 11 12 13 UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 ZHANG ZIYI, an individual, v. Plaintiff, CHINA FREE PRESS, INC., a North Carolina non-profit corporation doing business as BOXUN NEWS; WEICAN NULL MENG, an individual also known as WATSON MENG and also known as WEICAN WATSON MENG; DOES 1-25, inclusive, Defendants. CASE NO.: 2:12-cv-05216-DMG (PLAx) DECLARATION OF LING LUCAS Date: January 25, 2013 Time: 9:30 a.m. Courtroom: 7 777748 DECLARATION OF LING LUCAS

Case 2:12-cv-05216-DMG-PLA Document 51 Filed 01/04/13 Page 2 of 13 Page ID #:943 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 DECLARATION OF LING LUCAS I, LING LUCAS, DECLARE AND STATE AS FOLLOWS: 1. I have personal knowledge of the facts set forth herein, and if called as a witness I could and would testify competently thereto under oath. 2. I have been Zhang Ziyi s manager for twelve (12) years. In this capacity, I have been responsible for counseling her on film, television and charity projects, sponsorships and endorsements, personal appearances, and selection of professional advisors for legal, tax and business matters. I have no other clients and have dedicated my life and career to supporting Ms. Zhang. 3. I currently reside in Beijing, China. However, as part of my work for Ms. Zhang, I regularly conduct business at or through the business office Ms. Zhang maintains in the County of Los Angeles, California. In fact, as a world-wide center of the entertainment industry, much of the business I conduct on behalf of Ms. Zhang around the world is handled in Los Angeles. 4. I was shocked when Boxun News published articles on the internet in May and June 2012 accusing Ms. Zhang of being a prostitute and stating that she was affiliated with Bo Xilai. Boxun News never contacted me before it published any of the stories to confirm any of the alleged facts or obtain a comment from me. This is particularly surprising to me, given the extremely personal nature of the stories. Instead, all of the stories were attributed only to unnamed sources such as intelligence and different sources of information. 5. I have known Ms. Zhang for twelve (12) years, and she is not now and never has been a prostitute. Furthermore, Ms. Zhang has no affiliation whatsoever with Bo Xilai. She does not know him personally, and she certainly has never had sexual relations with him. Furthermore, Ms. Zhang was never questioned by Chinese authorities in connection with Mr. Bo, and the authorities never banned her from leaving mainland China. 28 777748 1 DECLARATION OF LING LUCAS

Case 2:12-cv-05216-DMG-PLA Document 51 Filed 01/04/13 Page 3 of 13 Page ID #:944 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 6. The defamatory articles published about Ms. Zhang by Boxun News have caused her to lose at least two potential jobs as a spokesperson representing multinational companies and luxury brands. In May and June 2012, Ms. Zhang s agent at William Morris Endeavor, Todd Jacobs, and I were negotiating for her to appear at one or more events on behalf of luxury designer brand Michael Kors. But on June 18, 2012 just a few weeks after publication of some of the defamatory articles by Boxun News Mr. Jacobs sent me an email saying, Ling - Bad news. Michael Kors walked away from the negotiation due to negative press in China. (Emphasis added.) Attached hereto as Exhibit A is a true and correct copy of the email I received from Mr. Jacobs dated June 17, 2012. 7. Similarly, French automobile manufacturer Citroen also decided against using Ms. Zhang as a celebrity spokesperson at the launch event for its new line of cars in Beijing as a result of the defamatory articles published by Boxun News. On June 20, 2012, I was informed by the Chinese advertising agency Aiwan Entertainment that Citroen had rejected her because of the bad press. I am writing you this email to inform you that Zhang Ziyi has been rejected as the top celebrity guest to appear at the Cirtroen's [sic] new sports car launch event by the big boss in France last weekend. The AD agency below (Vincent) and all the top executives from Cirtroen [sic] really supported Zhang, but the big boss was worried about her recent rumors might cost unexpected damage or surprise to the brand launching in Beijing, China on June 28th. I am sorry about all these unfortunate bad press has cost all of us a great deal of stress and obstacles to promote Zhang. But I have talked with Vincent to agree to consider Zhang as the brand's spoke person in the future when the bad press is all gone. They all 28 777748 2 DECLARATION OF LING LUCAS

Case 2:12-cv-05216-DMG-PLA Document 51 Filed 01/04/13 Page 4 of 13 Page ID #:945 1 2 3 4 5 6 7 8 like Zhang very much and we all wish to see Zhang to win this battle successfully. (Emphasis added.) Attached hereto as Exhibit B is a true and correct copy of the email I received from Ms. Wan dated June 20, 2012, regarding the rejection by Citroen. I declare under penalty of perjury under the laws of the United States of America, that the foregoing is true and correct. Executed this 4th day of January, 2013 in Beijing, China 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Ling Lucas /s/ Ling Lucas 777748 3 DECLARATION OF LING LUCAS

Case 2:12-cv-05216-DMG-PLA Document 51 Filed 01/04/13 Page 5 of 13 Page ID #:946 LUCAS DECL 0004

Case 2:12-cv-05216-DMG-PLA Document 51 Filed 01/04/13 Page 6 of 13 Page ID #:947 LUCAS DECL 0005

Case 2:12-cv-05216-DMG-PLA Document 51 Filed 01/04/13 Page 7 of 13 Page ID #:948 LUCAS DECL 0006

Case 2:12-cv-05216-DMG-PLA Document 51 Filed 01/04/13 Page 8 of 13 Page ID #:949 LUCAS DECL 0007

Case 2:12-cv-05216-DMG-PLA Document 51 Filed 01/04/13 Page 9 of 13 Page ID #:950 LUCAS DECL 0008

Case 2:12-cv-05216-DMG-PLA Document 51 Filed 01/04/13 Page 10 of 13 Page ID #:951 LUCAS DECL 0009

Case 2:12-cv-05216-DMG-PLA Document 51 Filed 01/04/13 Page 11 of 13 Page ID #:952 LUCAS DECL 0010

Case 2:12-cv-05216-DMG-PLA Document 51 Filed 01/04/13 Page 12 of 13 Page ID #:953 LUCAS DECL 0011

Case 2:12-cv-05216-DMG-PLA Document 51 Filed 01/04/13 Page 13 of 13 Page ID #:954 LUCAS DECL 0012