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Case 2:13-md-02437-MMB Gase 2:16-r.:i:id 02437 MMB Docrnr1em Document 551 Filed 02/28/17 Page 1 of 10 550-1 Filed 0~/27/17 Page ef 3:.-0 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA IN RE: DOMESTIC DRYWALL ANTITRUST LITIGATION MDL No. 2437 13-MD-2437 THIS DOCUMENT RELATES TO: Indirect Purchaser Actions (J!IWJP isfi:b) FINAL JUDGMENT ORDER Indirect Purchaser Plaintiffs ("Plaintiffs"), individually and on behalf of a class of indirect purchasers of gypsum wallboard (the "Lafarge Settlement Class"), and Lafarge North America Inc. ("Lafarge") entered into a Settlement Agreement dated July 28, 2016 (the "Settlement Agreement") to fully and finally resolve the Lafarge Settlement Class's claims against Lafarge (the "Lafarge Settlement"). On September 23, 2016, Plaintiffs moved the Court for an order preliminarily approving the Lafarge Settlement, authorizing Plaintiffs to disseminate notice to the Lafarge Settlement Class members, and scheduling a hearing to determine whether the Lafarge Settlement is fair, reasonable and adequate and should be finally approved pursuant to Fed. R. Civ. October 21 d P. 23(e). By order entered, 2016 (the "Prehmmary Approval Or er"), the Court granted preliminary approval of the Lafarge Settlement, certifi,ed the Lafarge Settlement Class for purposes of sending notice to the Lafarge Settlement Class members, and authorized the Plaintiffs to disseminate notice of the Lafarge Settlement, the fairness hearing, and related matters to the Lafarge Settlement Class members. Notice has been provided to the Lafarge Settlement Class members and the appropriate governmental entities under the Class Action Fairness Act, pursuant to the Preliminary Approval Order. The Court held a hearing on the fairness of the Lafarge Settlement on February 28, 2017

Case 2:13-md-02437-MMB Document 551 Filed 02/28/17 Page 2 of 10 ~se 2:13 l'l'ld-02437-mmb Docblment 550-1 Filed 02/Tll~ Page 2 at J a The Court has considered the Settlement Agreement, Plaintiffs' Motion for Final Approval of the Proposed Settlement with Lafarge, the arguments presented at the fairness hearing, and the entire record in this matter, AND NOW, this ~ay of i:lby!j6j, 2011 it is hereby ORDERED that: l. The Court has jurisdiction over the subject matter of this litigation. 2. Terms capitalized in this Final Judgment Order and not otherwise defined differently herein have the same meanings as they have in the Settlement Agreement. 3. The Preliminary Approval Order outlined the form and manner by which the Plaintiffs would provide the Lafarge Settlement Class members with notice of the Lafarge Settlement, the fairness hearing, and related matters. Proof that the notice provided conformed with the Preliminary Approval Order has been filed with the Court. Due and adequate notice has been provided to the Lafarge Settlement Class members in compliance with Fed. R. Civ. P. 23, and the requirements of due process. 4. The Settlement was entered into by Plaintiffs and Lafarge in good faith following an extensive investigation of the facts, substantial discovery sufficient for experienced plaintiffs' counsel to evaluate the matter, and a summary judgment ruling as to Lafarge and other Defendants. It resulted from vigorous arm's-length negotiations, which were undertaken by counsel with significant experience litigating antitrust class actions. 5. Final approval of the Settlement with Lafarge is hereby granted pursuant to Fed. R. Civ. P. 23(e) because it is fair, reasonable, and adequate to the Lafarge Settlement Class members. In reaching this conclusion, the Court considered: (1) the amount of the Settlement payment; (2) certain cooperation to be provided by Lafarge to Plaintiffs, as set forth in the Settlement 2

Case 2:13-md-02437-MMB Document 551 Filed 02/28/17 Page 3 of 10 G.ase 2:13-md-0~437-MMB Doc11ment!3 0 1 Filed 02/27/17 Pa9@ of 10. Agreement; (3) the complexity, expense, and likely duration of the litigation; and (4) the Lafarge Settlement Class members' reaction to the Settlement. 6. The Lafarge Settlement Classes provisionally certified by the Court in its Preliminary Approval Order are certified as classes pursuant to Rule 23 of the Federal Rules of Civil Procedure for purposes of the Settlement with Lafarge, and are defined as follows: Nationwide Class: All persons or entities currently residing in the United States that indirectly purchased Wallboard in the United States manufactured by any of the Defendants, their subsidiaries, affiliates, or joint venturers for end use and not for resale during the Settlement Class Period. Excluded from the Settlement Class are Defendants, the officers, directors and employees of any Defendant, the parent companies, subsidiaries and affiliates of any Defendant, the legal representatives and heirs or assigns of any Defendant, any co-conspirators, any state or federal entities or instrumentalities of the federal government or of a state, any judicial officer presiding over the Action, any member of his or her immediate family and judicial staff, and any juror assigned to the Action. State Damages Class: All persons or entities currently residing in the United States that indirectly purchased Wallboard in or from an entity located in Arizona, Arkansas, California, the District of Columbia, Florida, Illinois, Iowa, Kansas, Maine, Massachusetts, Michigan, Minnesota, Mississippi, Missouri, Nebraska, Nevada, New Hampshire, Nevv Mexico, New York, North Carolina, North Dakota, Puerto Rico, Rhode Island, South Dakota, Tennessee, Utah, Vermont, West Virginia, and Wisconsin manufactured by any of the Defendants, their subsidiaries, affiliates, or joint venturers for end use and not for resale during the Settlement Class Period. Excluded from the Settlement Class are Defendants, the officers, directors and employees of any Defendant,.the parent companies, subsidiaries and affiliates of any Defendant, the legal representatives and heirs or assigns of any Defendant, any co-conspirators, any state or federal entities or instrumentalities of the federal government or of a state, any judicial officer presiding over the Action, any member of his or her immediate family and judicial staff, and any juror assigned to the Action. : Excluded from the Settlement Class are Defendants, the officers, directors and employees of any Defendant, the parent companies, subsidiaries and affiliates of any Defendant, the legal representatives and heirs or assigns of any Defendant, any co-conspirators, any state or federal entities or instrumentalities of the federal government or of a state, any judicial offi.cer presiding over the Action, any member of his or her immediate family and judicial staff, and. any juror assigned to the Action. 3

Case 2:13-md-02437-MMB Document 551 Filed 02/28/17 Page 4 of 10 7. The Court's certification of the Lafarge Settlement Class is without prejudice to, or waiver of, the rights of the Defendants to contest certification of any other class proposed in MDL No. 2437. The Court's findings in this Final Judgment Order shall have no effect on the Court's ruling on any motion to certify any other class in MDL No. 2437 and no party may cite or refer to the Court's approval of the Lafarge Settlement Class as compelling the same result with respect to any motion to certify any other class in MDL No. 2437. 8. The persons and entities identified on the attached Exhibit A have timely and validly requested exclusion from the Lafarge Settlement Class. Those persons and entities are not included in or bound by this Final Judgment Order or the final judgment regarding Lafarge. 9. All of Plaintiffs' claims against Lafarge in the Indirect Purchasers' Consolidated Amended Class Action Complaint and Demand for Jury Trial are dismissed with prejudice and without costs (except as provided for in the Settlement Agreement). 10. Plaintiffs and all members of the Lafarge Settlement Class who have not timely excluded themselves from the Lafarge Settlement Class (including all of their current and former parents; their predecessors, affiliates, successors, and subsidiaries; and their officers, directors, attorneys, representatives, and employees; and assignees of any claim that is subject to the Release) (collectively, "Releasors") are permanently barred and enjoined from prosecuting against Lafarge and Continental Building Products Inc. (and all of their current and former parents; their predecessors, affiliates, assigns, successors, and subsidiaries; and their officers, directors, attorneys, representatives, and employees) (collectively, "Releasees") any and all claims, demands, actions, suits, injuries, and causes of action, damages of any nature, whenever or however incurred (whether actual, punitive, treble, compensatory, or otherwise) including, without limitation, costs, fees, expenses, penalties, and attorneys' fees, whether class,. individual, or 4

Case Case 2:13-md-02437-MMB Document 551 Filed 02/28/17 Page 5 of 10 2.13-md-02437-MMB DeeUffiCAt 550 1 Filed 02/27/17 Page at 1q. otherwise in nature, that Releasors, or any of them, ever had, now has, or hereafter can, shall, or may have, indirectly, representatively, derivatively or in any other capacity against the Releasees or any of them, whether known or unknown, suspected or unsuspected, foreseen or unforeseen, actual or contingent, liquidated or unliquidated, asserted or unasserted, whether in law or equity or otherwise based in whole or in part or arising out of or relating in any way to any conduct, act or omission of the Releasees (or any of them) prior to and including June 16, 2016, concerning any of the facts, occurrences, transactions, or other matters alleged in the Action against Lafarge that arise under any federal or state law, including, without limitation, the Sherman Act, 15 U.S.C. 1 et seq., and any federal or state antitrust, unfair competition, unfair practices, price discrimination, unjust enrichment, unitary pricing or trade practice law, including but not limited to any causes of action asserted or that could have been or could still be alleged or asserted, in any class action complaints filed in this Action or related actions. Releasees does not i.nclude any Defendant in the Action other than Lafarge, including any Non-Lafarge Defendants' current and former parents, their predecessors, affiliates, assigns, successors, subsidiaries, attorneys, and their officers, directors, representatives, and employees in their capacity associated solely with Non Lafarge Defendants and not in association with Lafarge. Nothing herein shall release: (a) any claims based upon indirect purchases of Wallboard brought by prospective members of any class of indirect purchasers (the "Indirect Purchaser Class"); or (b) claims arising in the ordinary course of business. for any product defect, breach of contract, or other contract, product performance or warranty claims relating to Wallboard. 11.. Releasors.have expressly waived and released 1my and all provisions, rights, and benefits conferred by Section 1542 of the California Civil Code, which states: CERTAIN CLAIMS NOT AFFECTED BY GENERAL RELEASE. A GENERAL RELEASE DOES NOT EXTEND 5

Case 2:13-md-02437-MMB Document 551 Filed 02/28/17 Page 6 of 10 TO CLAIMS WHICH THE CREDITOR DOES NOT KNOW OR SUSPECT TO EXIST JN HIS FAVOR AT THE TIME OF EXECUTING THE RELEASE, WHICH IF KNOWN BY HIM MUST HA VE MATERJALL Y AFFECTED HIS SETTLEMENT WITH THE DEBTOR; or by any law of any state or territory of the United States, or principle of common law, which is similar, comparable or equivalent to Section 1542 of the California Civil Code. Each Releasor may hereafter discover facts other than or different from those which he, she or it knows or believes to be true with respect to the claims which are the subject of the provisions of Paragraph 10 of this Final Judgment Order, but each Releasor has expressly waived and fully, finally, and forever settled and released any known or unknown, suspected or unsuspected, contingent or noncontingent claim with respect to the subject matter of the provisions of Paragraph 10 of this Final Judgment Order, whether or not concealed or hidden, without regard to the subsequent discovery or existence of such different or additional facts. 12. The Escrow Account into which Lafarge will deposit $4,500,000, along with any funds transferred from the federally insured interest-bearing bank account for the payment of notice and notice administration costs, plus accrued interest thereon, is approved as a Qualified Settlement Fund pursuant to Internal Revenue Code Section 468B and the Treasury Regulations promulgated thereunder. 13. Neither the Settlement Agreement, nor any act performed or document executed pursuant to the Settlement Agreement, constitutes an admission of wrongdoing by any party in any civil, criminal, administrative, or other proceeding in any jurisdiction. 14. This Final Judgment Order does not settle or compromise any claim's by the Plaintiffs against the other Defendants or any other person or entity other than Lafarge and the 6

Case 2:13-md-02437-MMB Document 551 Filed 02/28/17 Page 7 of 10 Castf2:13-md-02437-MMB DoCU111eAt eaq-1 Filed 02/27/17 Page 7of1~ other Releasees, and all rights against any of the other Defendants or other person or entity have been specifically reserved by the Plaintiffs. 15. Without affecting the finality of this Final Judgment Order, the Court retains exclusive jurisdiction over: (a) the Final Judgment Order; (b) the Settlement Agreement; and (c) any application for disbursement of the Lafarge Settlement Fund made by Interim Co-Lead Counsel. 16. Pursuant to Fed. R. Civ. P. 54(b), the Court finds that there is no just reason for delay and directs the entry of final judgment as to Lafarge. 7

Case 2:13-md-02437-MMB Document 551 Filed 02/28/17 Page 8 of 10 EXHIBIT A - REQUESTS FOR EXCLUSION 1. Ashton Woods USA L.L.C., 1405 Old Alabama Road, Suite 200, Roswell, GA, 30076. a. Ashton Woods Holding L.L.C. b. Ashton Atlanta Residential, L.L.C. c. Ashton Dallas Residential 1.1. C. d. Ashton Houston Residential L.L.C. e. Ashton Orlando Residential L.L.C. f. Ashton Tampa Residential, LLC g. Ashton Charleston Residential 1.1. C. h. Ashton Raleigh Residential L.L.c. 1. Ashton Austin Residential L.L.c. j. Ashton San Antonio Residential L.L.C. k. Ashton Woods Construction, LLC 2. Beazer Homes USA, Inc, 1000 Abernathy Road, Suite 260, Atlanta, GA, 30328, and the following related entities: a. Beazer Homes Holdings, LLC b. Beazer Homes Corp. c. Beazer Homes Texas, L.P. d. Beazer Homes Indiana LLP e. Beazer Homes Holdings, LLC f. Beazer Homes, LLC 3. CalAtlantic Group, Inc., 15360 Barranca Parkway, Irvine, CA, 92618. 4. The Drees Company, 211 Grandview Drive, Fort Mitchell, KY, 41017, and the following related entities: a. Drees Custom Homes L.P. b. Drees Premier Homes, Inc. c. Drees Homes of Florida, Inc. d. Saber Ridge, L.L.C. e. Ausherman Homes, Inc. - 5. D.R. Horton, Inc., 301 Commerce Street, Suite 500, Fort Worth, TX, 76102, and the following related entities: a. D.R. Horton, Inc. b. D.R. Horton Los Angeles Holding Company, Inc. c. D.R. Horton, Inc. - Torrey d. CHI Construction Company e. Continental Homes of Texas, L.P. f. DRH Cambridge Homes, Inc. g. D.R. Horton, Inc. - New Jersey h. D.R. Horton, Inc. - Jacksonville i. D.R. Horton, Inc. - Minnesota J. D.R. Horton - Texas, Ltd. k. D.R. Horton, Inc. - Birmingham

Case 2:13-md-02437-MMB Document 551 Filed 02/28/17 Page 9 of 10 C,.as.e...2:13-ll'tEI 02437-!\AMB Ooctmie11t 550-1 Hied 02/27/17 _page of 10.. 1. Western Pacific Housing, Inc. m. D.R. Horton, Inc. - Dietz-Crane n. D.R. Horton BAY, Inc. o. D.R. Horton, Inc. - Sacramento p. D.R. Horton, Inc. - Gulf Coast q. D.R. Horton, Inc. - Greensboro r. D.R. Horton VEN, Inc. s. D.R. Horton - Emerald, Ltd. t. DRH Southwest Construction, Inc. u. Melody Homes, Inc. v. Surprise Village North, LLC w. D.R. Horton, Inc. - Huntsville x. D.R. Horton - Schuler Homes, LLC y. KDB Homes, Inc. z. D.R. Horton, Inc. - Portland aa. Continental Residential, Inc. bb. D.R. Horton - Crown, LLC cc. D.R. Horton - Regent, LLC dd. SSHI LLC ee. D.R. Horton CA2, Inc. ff. D.R. Horton CA3, Inc. gg. DRH Construction, Inc. hh. DRH Tucson Construction, Inc. ii. Hadian, LLC jj. Kaomalo LLC kk. Pacific Ridge - DRH, LLC 6. Hovnanian Enterprises, Inc., l l 0 West Front Street, Red Bank, NJ, 0770 l. 7. KB Home, 10990 Wilshire Boulevard, Los Angeles, CA 90024. 8. Meritage Homes Corporation, 8800 East Raintree Drive, Suite 300, Scottsdale, AZ, 85260. 9. MII Homes. Inc., Three Easton Oval, Suite 500, Columbus, OH, 43219. a. MII Homes, Inc. b. Mil Homes oflndiana, L.P. c. MII Homes of Tampa, LLC d. Mil Homes of Orlando, LLC e. Mil Homes of Central Ohio, LLC f Mil Homes of Cincinnati, LLC g. Mil Homes of Raleigh, Ll.C h. M/I Homes of Charlotte, LLC i. Mil Homes of DC, LLC J. Mil Homes of Chicago, LLC k. Mil Homes of Houston, LLC

Case 2:13-md-02437-MMB Document 551 Filed 02/28/17 Page 10 of 10 C'a"se-2:16 A'ld~7-MMB Document 550-1 Flied 02727/17 Page 10 orfo I. M/I Homes of San Antonio, LLC m. M/I Homes of Austin, LLC n. M/I Homes otdfw, LLC o. M/I Homes of West Palm Beach, LLC p. M/I Homes of Minneapolis/St. Paul, LLC q. M/I Homes of Sarasota, LLC 10. Pulte Home Corporation, 3350 Peachtree Road NE, Atlanta, GA, 30326. 11. Toll Brothers, Inc., 250 Gibraltar Road, Horsham, PA, 19044, and the following related entities: a. Jupiter CC L.L.C. b. Provost Square I L.L.C. c. TMF Kent Partners L.L.C. 12. TRI Pointe Homes, Inc., 19540 Jamboree Road, Suite 300, Irvine, CA, 92612. a. TRI Pointe Homes, Inc. b. TRI Pointe Contractors, LP c. The Quadrant Corporation d. Winchester Homes Inc. e. Maracay Homes, L.L.C. Maracay Construction, L.L.C. g. Trendmaker Homes, Inc. h. Pardee Homes L Pardee Homes of Nevada