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IN THE CIRCUIT COURT OF JACKSON COUNTY, MISSOURI Samuel K. Lipari, Plaintiff, v. Chapel Ridge Multifamily LLC, et al., Defendants. Case No. 0916-CV38273 THE REGUS DEFENDANTS' MOTION TO DISMISS PLAINTIFF'S AMENDED PETITION AND INCORPORATED MEMORANDUM IN SUPPORT COMES NOW Defendants Regus Limited ('"Regus" erroneously sued as Regus PLC, Regus Management Group LLC ("Regus Management Group" and Lianne Zellmer ("Defendant Zellmer" (collectively the "Regus Defendants", by and through counsel, and hereby move the Court to dismiss Plaintiff Samuel Lipari's ("Plaintiff' Amended Petition Under Rule 55.33 (the "Petition" with prejudice, pursuant to Missouri Rule of Civil Procedure 55.27(a on the grounds that it fails to state a claim upon which relief can be granted against the Regus Defendants. In support of their Motion to Dismiss Plaintiff's Petition, the Regus Defendants provide as follows: INTRODUCTION The Regus Defendants license out fully equipped and fully serviced office space to businesses. Missouri. Defendant Zellmer is the Center Manager of the Regus location in Kansas City, Giving Plaintiff all reasonable inferences, he appears to allege that the Regus Defendants, along with the other named Defendants and unnamed individuals, were involved in a clandestine conspiracy to defraud him and deprive him of his property in violation of The Racketeer Influenced and Corrupt Organizations Act ("RICO". Plaintiffs lengthy Petition appears to allege that a mishmash of attorneys, judges, executive officers, law firms, individuals and companies have somehow conspired to harm Plaintiffs hospital supply business. Plaintiff,

however, fails to offer any factual support whatsoever for his claim and thus, the Petition should be dismissed with prejudice for failure to state a claim upon which relief can be granted. PLAINTIFF'S ALLEGATIONS AGAINST THE REGUS DEFENDANTS Plaintiffs allegations are difficult to decipher and comprehend. It appears, however, that Plaintiff claims the following in support of his allegations against the Regus Defendants of conspiracy and mail and wire fraud in violation of RICO: Plaintiff rented virtual office mail and phone services from the Regus Defendants. (Petition ~ 94 The Regus Defendants formed an agreement with undisclosed individuals and entities in violation of RICO to shut down Plaintiffs home healthcare/consumer business and to interfere with Plaintiff's finances. (Petition ~ 95 On September 17,2009 Plaintiff received an email letter from a collection agency on behalf ofthe Regus Defendants demanding payment of$3,533.70. (Petition -,r 242 Plaintiff responded by sending a letter to Defendant Zellmer stating: "Hi, Lianne, I received this email and it seems like a scam? If! recall correctly, the last invoice I received from you was around $900. I don't think you or Regus would like someone representing your interest in this way? Anyway I thought you should know. Best regards, S-" (Petition ~ 243 On September 18, 2009, Plaintiff received a reply email from Defendant Zellmer confirming that the email was not a scam and that the amount owed was proper. (Petition ~ 244 Plaintiff replied to Defendant Zellmer that he did not "believe the email" sent by the collection agency was legitimate but that he would send a form to her so that the Regus Defendants could seek payment on his behalf from the Department of Justice or the Federal Bureau ofinvestigation. (Petition ~ 245 KCOI DOCS\9&780S.2 2

Plaintiff alleges that he was unable to pay Regus because of negligence committed by "Mr. Robert Mueller in training FBI agents to investigate Public Official Corruption that the FBI had knowledge of and failed to stop allowing the RICO conspirators to continue procuring fraudulent outcomes in court." (Petition ~ 237 The United States Government was supposed to pay the full amount owed to the Regus Defendants on his behalf. (Petition ~ 237 On July 27, 2009 the Regus Defendants terminated his Service Agreement with Regus dated September 24,2007 (the "Service Agreement" and the termination coordinated with Plaintiffs eviction from his residence on July 24, 2009. (Petition ~~ 131, 172 The Regus Defendants' termination of his Service Agreement evidences the fact that the Regus Defendants were participating in an "ongoing RICO enterprise." (Petition ~~ 172-74 The Regus Defendants committed mail and wire fraud by using the U.S. mail and the Internet to terminate his Services Agreement. (Petition j'[ 232,242 The Regus Defendants refused to accept payment on his account by failing to turn in a "FTCP form." (Petition ~ 298 The alleged mail and wire fraud and alleged RICO violation was an effort to retaliate against him for exposing a death threat made by an FBI field officer. (Petition, 231 STANDARD FOR MOTION TO DISMISS In determining whether to dismiss a petition pursuant to Mo. R. Civ.P. 55.27(a(6, the Court must accept all averments in the petition as true and construe the petition in favor of the plaintiff. Hanrahan v. Nashua Corp., 752 S.W.2d 878, 882 (Mo. App. 1988. However, the Court must not accept the pleader's conclusory allegations. "Where the petition contains only KCO IDOCS\98780S.2 3

conclusions and does not contain the ultimate facts nor any allegations from which to infer those facts, a motion to dismiss is properly granted." Arnold v. Erkmann, 934 S.W.2d 621, 626 (Mo. App. 1996. As set forth below, each of Plaintiff s claims should be dismissed pursuant to Rule 55.27(a(6 for failure to state a claim because Plaintiffs Petition only contains conclusory statements and does not contain any of the ultimate facts or allegations to support his conclusions. LEGAL ARGUMENT Although Plaintiffs allegations are convoluted at best, it appears that Plaintiff is attempting to allege that the Regus Defendants participated in a RICO conspiracy with the other named Defendants, the United States Government, this Court, and numerous other entities, to harm his business. Plaintiff also alleges that the Regus Defendants committed mail and wire fraud as part of the alleged RICO conspiracy. None of Plaintiffs claims, however, is supported by any facts sufficient to survive a motion to dismiss. Plaintiff has merely stated that the Regus Defendants are a part of a RICO conspiracy and committed mail fraud. That is it. Plaintiff has failed to allege how any ofthe Regus Defendants' actions constitute a RICO conspiracy or mail and wire fraud. Indeed, the Regus Defendants' actions do not constitute a RICO conspiracy or mail and wire fraud and, thus, the Petition should be dismissed. A. THE RICO CONSPIRACY CLAIM Plaintiff has alleged that the Regus Defendants were part of a RICO conspiracy in violation of 18 U.S.C. 1862(c and (d. To establish a violation of 18 U.S.c. 1962(c, Plaintiff must show, "(1 the existence of an enterprise; (2 defendant's association with the enterprise; (3 defendant's participation in predicate acts of racketeering; and that (4 defendant's actions constitute a pattern of racketeering activity." Kilper v. City of Alper, Mo, No. 4:08cv267, 2009 KCO ldocs\98780s.2 4

WL 2208404 at *20 (E.D. Mo. July 23,2009. To recover under 18 U.S.C. 1962(d, the Plaintiff must show that there was a conspiracy in furtherance of an alleged RICO violation. If one element of a RICO claim is not established, the Court is not obligated to address the other elements. Id. Plaintiff has failed to show all of the elements necessary to establish a RICO violation. First, Plaintiffhas not shown that there was an enterprise. Proving the existence of an enterprise requires "evidence of an ongoing organization, formal or informal, and... evidence that the various associates function as a continuing unit." United States v. Turkette, 452 U.S. 576, 583 (1981. Those who are associates of a criminal enterprise must share a common purpose. Atlas Pile Driving Co. v. DiCon Fin. Co., 886 F.2d 986, 995 (8 th Cir. 1989. Plaintiff has not alleged any facts to show the Defendants shared a common purpose. In fact, based on Plaintiff's own allegations, it appears that all the Defendants were acting strictly in their own best interest. Craig Outdoor Advertising. Inc. v. Viacom Outdoor, Inc. 528 F.3d 1001, 1026 (8 th Cir. 2008 (finding no common purpose where defendants were acting strictly in their own best interest. The Regus Defendants, for example, were only making efforts to recover payments owed to them by Plaintiff. Plaintiffs sole basis for claiming that the Regus Defendants were part of a conspiracy is based on the fact that the Regus Defendants terminated his Service Agreement three days after he was evicted from his residence. (Petition ~~ 131, 172 Second, Plaintiff has not shown how any of the named Defendants are related. Craig Outdoor Advertising. Inc., 528 F.3d at 1028 (plaintiff must show that the racketing activities are related... J; Wisdom v. First Midwest Bank of Poplar Bluff, 167 F.3d 402, 406 (8th Cir. Mo. 1999 (the "relationship prong of the pattern element of a claim under [RICO] is satisfied if the predicate acts have the same or similar purposes, results, participants, victims, or methods of KCOIDOCS\9&7&05.2 5

commission, or otherwise are interrelated by distinguishing characteristics and are not isolated events". Lastly, Plaintiff has not shown a pattern of racketeering. Wisdom, 167 F.3d at 407. The pattern element "requires at least two acts of racketeering activity." 18 U.S.C. 1961 (5; see also HJ., Inc. v. Nw. Bell Tel. Co., 492 U.S. 229, 237-38 (1989. The predicate act must also."amount to or pose a threat of continued criminal activity." United HealthCare Corp. v. Am. Trade Ins. Co., Ltd., 88 F.3d 563,571 (8 th Cir. 1996 (quoting HJ., Inc., 492 U.S. at 239. Continuity can refer to either a closed period of repeated conduct or to past conduct that by its nature projects into the future with a threat ofrepetition. Wisdom, 167 F.3d at 406. Plaintiff has not alleged that the Regus Defendants' alleged predicate acts have the threat of repetition, thus the allegations must refer to a closed period of repeated conduct. Plaintiff alleges that the Regus Defendants' allegedly predicate acts occurred between July 24, 2009 and September 18,2009. It has been held, however, that "the requirement of continuity over a closed period is not met when the predicate acts extend less than a year." Primary Care Investors, Seven, Inc. v. PHP Healthcare Corp., 986 F.2d 1208, 1215 (8 th Cir. 1992. Based on Plaintiff's own allegations, the allegedly predicate acts only lasted about two months. For the foregoing reasons, Plaintiffs claim under 18 U.S.C. 1962(c and (d should be dismissed. B. THE MAIL AND WIRE FRAUD CLAIM Plaintiff has alleged mail and wire fraud in violation of 18 U.S.C. 1341 and 1343 as the underlying racketeering activity to his RICO claim. The plaintiff in a complaint charging mail fraud under 18 U.S.c. 1341 must allege the: 1 devising or participating in a scheme to defraud; (2 intent to defraud; (3 knowledge that it was reasonably foreseeable that the mails KCO 1OOCS\987805.2 6

would be used; and (4 use of the mails in furtherance of the scheme. us. v. Redziv, 569 F.3d 841,847 (8 th Cir. 2009. The elements of wire fraud under Section 1343 directly parallel those of the mail fraud statute, but require the use of an interstate telephone call or electronic communication made in furtherance of the scheme. United States v. Profit, 49 F.3d 404, 406 n.1 (8 th Cir. 1995 (the four essential elements to the crime of wire fraud are: (1 that the defendant voluntarily and intentionally devised or participated in a scheme to defraud another out of money; (2 that the defendant did so with the intent to defraud; (3 that it was reasonably foreseeable that interstate wire communications would be used; and (4 that interstate wire communications were in fact used. A plaintiff's petition is insufficient where it does not indicate how and in what manner the communications violated the mail and wire fraud statutes. Formax Inc. v. Hostert, 841 F.2d 388,391 (Fed. Cir. 1988. Further, the facts constituting fraud must be plead with particularity. Mo. Rule Civ. Proc. 55.15; Heitman v. Brown Group, Inc., 638 S.W.2d 316 (Mo. Ct. App. 1982. Mere conclusions are not sufficient. Williams v. Mercantile Bank of St. Louis NA, 845 S.W.2d 78 (Mo. Ct. App. 1993. In addition to simply not making any sense or being put in any sort of context, Plaintiff has failed to plead all of the elements of mail and wire fraud. Schauer v. Gundaker Movits Real Estate Co., 813 S.W.2d 112, 114 (Mo. Ct. App. 1991 (failure to plead all the elements of fraud subjects the petition to dismissal. A claim for mail or wire fraud under RICO must identify the "who, what, where, and how" of the alleged fraud. BJC Health Sys. v. Columbia Cas. Co., 468 F.3d 908, 917 (8 th Cir. 2007. It appears that Plaintiff's allegation of mail and wire fraud is that the Regus Defendants committed fraud by using the U.S. mail and Internet to provide Plaintiff notices of his overdue account and with notice of the termination of his Services Agreement. Plaintiff has not alleged what was fraudulent about this behavior. In fact, Plaintiff appears to xco I DOCS\987805.2 7

allege that his account was indeed overdue which suggests that Defendants' demand for payment was proper. (Petition ~ 237 Plaintiffs allegations suggest that the Regus Defendants were simply taking actions against Plaintiff to recover monies lawfully owed to them. Wisdom, 167 F.3d at 407 (finding no RICO violation where the bank had a right to attempt to collect on the delinquent loan. Further, Plaintiff has not alleged that the Regus Defendants knew the alleged communications were false. Durlandv. US., 161 U.S. 306, 313-314 (1896; Kempton v. Dugan, 224 S.W.3d 83,88 ("a fraud claim requires proof that the speaker knew the misrepresentation was false at the time it was made". Plaintiffs claim for mail and wire fraud should be dismissed for failure to state a claim as Plaintiff has failed to allege any facts explaining how any of the alleged actions of the Regus Defendants constitute fraud. For the foregoing reasons, Plaintiffs allegation of mail and wire fraud should be dismissed. CONCLUSION WHEREFORE, the Regus Defendants move the Court to dismiss Plaintiff's Petition with prejudice and for such further relief as the Court deems just and appropriate. KCO 1DOCS\987805.2 8

RespectfuJIy submitted, ATTORNEYS FOR DEFENDANTS REGUS LIMITED, REGUS MANAGEMENT GROUP LLC AND LIANNE ZELLMER CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the above document was served via First Class Mail, postage pre-paid, this 25 th day of February, 2010 upon: Samuel K. Lipari 803 S. Lake Drive Independence, MO 64064 James Christian Morrow Executive Hills East Bldg A 10401 Holmes, Suite 300 Kansas City, MO 64131 Chapel Ridge Multifamily, LLC The Fairways at Lakewood 3520 NE Akin Blvd. Lee's Summit, MO 64064 Wells Fargo 420 Montgomery Street San Francisco, CA 94163 Chris. M. Troppito 508 Walnut Street Kco IDOCS\98 7805.2 9

r Kansas City, MO 64106 Troppito & Miller, LLC 508 Walnut Street Kansas City, MO 64106 Nicholas L. Ackerman 508 Walnut Street Kansas City, MO 64106 Tony R. Miller 508 Walnut Street Kansas City. MO 64106 John Kenneth Power Rusch Blackwell Sanders, LLP 4801 Main Street Suite 1000 Kansas City, MO 64112 General Electric Capital Business Asset Funding Corp. Missouri Registered Agent 120 S. Central Avenue Clayton, MO 63105 GE Transportation Systems Global Signaling, LLC Missouri Registered Agent CT Corporation System 120 S. Central Avenue Clayton, MO 63105 General Electric Company Missouri Registered Agent CT Corporation System 314 North Broadway St. Louis, MO 63102 Jeffrey R. Immelt, CEO Jonathan Glecklen Arnold & Porter 555 12thStreet, N.W. Washington, DC 20004 ATTORNEY FOR DEF REGUS LIMITED, REG KCOIDOCS\987805.2 10

. -_._-_._------ IN THE CIRCUIT COURT OF JACKSON COUNTY, MISSOURI Samuel K. Lipari, Plaintiff, v. Chapel Ridge Multifamily LLC, et al., Defendants. Case No. 0916-CV38273 ORDER This matter comes before the Court on the Motion of Defendants Regus Limited, Regus Management Group LLC and Lianne Zellmer (collectively the "Regus Defendants" to dismiss Plaintiff s Amended Petition with prejudice as against the Regus Defendants pursuant to Missouri Rule of Civil Procedure 55.27(a on the grounds that it fails to state a claim upon which relief can be granted. Having reviewed the Motion, the Court finds that the Motion should be granted. IT IS THEREFORE ORDERED that Plaintiffs Amended Petition be dismissed with prejudice as against the Regus Defendants. Dated: ------------------ The Honorable Robert Michael Schieber KCOIDOCS\98780S.2