VEATCH CARLSON, LLP. Plaintiff YVES CLEMENT alleges as follows: 1 COMPLAINT

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1 1 1 1 1 1 1 0 1 VEATCH CARLSON, LLP A PARTNERSHIP INCLUDING PROFESSIONAL CORPORATIONS Wilshire Boulevard, " Floor LOS ANGELES, CALIFORNIA 00 TELEPHONE (1) 1-1 FACSIMILE (1) -0 KEVIN R. LUSSIER (SBN ) klussier@veatchfirm.com KIM D. ASHLEY (SBN ) kashley@veatchfirm.corn Attorneys for Plaintiff, YVES CLEMENT YVES CLEMENT, an individual, V. (SPACE BELOW FOR FILING STAMP ONLY) SUPERIOR COURT OF THE STATE OF CALIFORNIA Plaintiff, U.S. GRANT HOTEL VENTURES, LLC, a California limited liability company; and DOES 1-, inclusive, Defendants. COUNTY OF SAN DIEGO Plaintiff YVES CLEMENT alleges as follows: Case No. THE PARTIES FOR: -0-000UC-CTL 1. BREACH OF CONTRACT;. BREACH OF IMPLIED COVENANT OF GOOD FAITH AND FAIR DEALING;. NEGLIGENCE;. DECLARATORY RELIEF DEMAND FOR JURY TRIAL 1. Plaintiff Yves Clement ("Mr. Clement") is an individual who, at all relevant times to this action, has been a resident of Paris, France.. Plaintiff is informed and believes, and on that basis alleges, that Defendant U.S. Grant Hotel Ventures, LLC ("U.S. Grant" or "Defendant") is a California limited liability company with its principal place of business in San Diego, California. 1

1 1 1 1 1 1 1 0 1. Plaintiff is informed and believes, and on that basis alleges, that Defendant US Grant Hotel San Diego, LLC is a Delaware limited liability company that is registered to do business in the state of California.. The true names and capacities, whether individual, corporate, or otherwise, of the Defendants named in this Complaint as Does 1 through, inclusive, are unknown to Plaintiff, who therefore sues said Defendants by such fictitious names. Plaintiff is informed and believes and on that basis alleges, that each defendant named herein as a Doe contributed to or caused Plaintiff's alleged damages. Plaintiff will move to amend this Complaint when the true names and capacities of said fictitiously named Defendants have been ascertained.. Plaintiff is informed and believes, and on that basis alleges, that at all times mentioned in this Complaint the Defendants, and each of them, were the alter egos, agents, servants and/or employees of each of the other co-defendants, and in doing the things alleged in this Complaint were acting within the scope of their authority as such agent, servant, and/or employee, and with the permission and consent of their co-defendants. JURISDICTION. The Court has jurisdiction over this dispute because a significant number of the acts and omissions alleged below occurred within the State of California in the County of San Diego and/or the acts and omissions constitute sufficient minimum contacts to subject the Defendants to the jurisdiction of the California courts. FACTUAL ALLEGATIONS COMMON TO ALL CAUSES OF ACTION. Yves Clement is a world-renowned artist who has been featured on popular U.S. television and has been recognized in the United States and France for his innovative process of creating art. Mr. Clement's technique involves the creation of artwork of various sizes by dripping paint in one continuous motion from a paint stick directly onto canvas placed on the floor. The artwork uses figurative and abstract forms that are created on the canvas and then mounted or scanned in and used to create beautiful colored giclees.. On or about June, 00, Mr. Clement and U.S. Grant Hotel entered into an "Agreement for Lease of Art Work" ("Lease"), a true and correct copy is attached hereto as

. 1 1 1 1 1 1 1 0 1 Exhibit A and is incorporated herein by reference. The Lease was originally for a ten year term. However, effective November 0, 01, the parties extended its terms for an additional ten years pursuant to a written "First Extension Agreement for Lease of Art Work" ("Extension") (together with Lease, the "Agreement") a true and correct copy of which is attached hereto as Exhibit B and incorporated herein by reference. The ten year extension commenced on January 1, 01 pursuant to the Extension.. Pursuant to the Agreement, Mr. Clement spent more than five months on site at the U.S. Grant Hotel creating over pieces of artwork, which consist of drawings, drippings on canvas, and giclees. An independent fair market value appraisal of the work in June 00 placed the collection's value at nearly $. million. The collection was later added to for a total of pieces of artwork.. In or about April 01, another independent fair market value appraisal set the collection's value at $ million. This appraisal did not include values for pieces that the appraiser considered damaged or destroyed. Additionally, the U.S. Grant Hotel's website (www.usgrant.net) touts the value of Mr. Clement's artwork at $,000 to $1,000 per piece, which places U.S. Grant Hotel's estimate of the collection's value somewhere between $. million and $ million.. Since 00, Mr. Clement's artwork has featured prominently in the U.S. Grant Hotel in downtown San Diego, which designed its guestrooms, meeting areas and foyer around Mr. Clement's artwork. In fact, the guestrooms are envisioned around a theme of Sleeping with Art, which is heavily promoted on the U.S. Grant Hotel's website. A central feature of the Sleeping With Art concept involves the use of Mr. Clement's original artwork to decorate the walls and also original artwork is mounted as headboards for the beds. The pieces created by Mr. Clement pursuant to the Agreement range in size from smaller pieces to ' x ' for the biggest paintings installed inside the U.S. Grant Hotel's restaurant, the Grant Grill. 1. The U.S. Grant Hotel is a Four Diamond, Four Star hotel that also received the Platinum Choice Award for its design, which relies mainly on Mr. Clement's work. In 00, the U.S. Grant Hotel received the coveted Best Luxury Guestroom Design award at the Hotel World

1 1 1 1 1 1 1 0 1 Global Hospitality & Design competition in Las Vegas. There, the U.S. Grant Hotel competed against 000 of the finest luxury hotels from all over the world. The award was attributed in large part to Mr. Clement's artwork, as the award was for excellence in the use of original artwork in the guestrooms. 1. Per the terms of the Agreement, ownership of all artwork remained with Mr. Clement. Damaged artwork is to be returned to Mr. Clement. In addition, U.S. Grant was to obtain and keep in force an insurance policy protecting Mr. Clement against liabilities and loss of any work whether by fire, damage, or destruction in a combined single limit amount which is equal to the appraised value of the work and as subject to any deductible requirements. The insurance coverage was to be adjusted equal to the value of the work, which the Agreement states is to be based on periodic appraisals obtained every two years by Mr. Clement. 1. Eventually, Mr. Clement learned that the U.S. Grant Hotel was treating some of his artwork for bed bugs. Mr. Clement learned of this by chance while visiting Jag Art In Framing. Mr. Clement was aware that U.S. Grant Hotel uses Jag Art in Framing to mount and frame Mr. Clement's art. While there, Mr. Clement observed some of his canvasses from the U.S. Grant Hotel covered in plastic. Mr. Clement was informed by the owner that the plastic was on canvasses that had been treated for bedbugs Jag Art In Framing would be replacing the batting and then re-stretching the art. Mr. Clement observed small dark spots on the canvas underneath the plastic. Aside from the physical evidence of what appeared to be bedbugs and/or bedbug droppings, which ruins the visual look of Mr. Clement's art, a bedbug infestation renders the artwork unsalable. Mr. Clement's clientele would be unwilling to purchase work that had been exposed to bedbugs. Therefore, all affected pieces must be considered a total loss. 1. In or about December 01, Mr. Clement visited the U.S. Grant Hotel to inspect and inventory his art. At that time, he observed that a total of ninety (0) pieces had been damaged or destroyed. He made a subsequent inspection in 01 and discovered that at that point, more than pieces had been damaged or destroyed. The damage to various pieces of artwork includes, but is not limited to, graffiti written in pen, cuts in the canvas, and splatters from unknown substances on the canvas.

1 1 1 1 1 1 1 0 1 1. In addition to the physical harm to his artwork, the display of Mr. Clement's artwork while it is in a condition of disrepair, has been mutilated, or otherwise has not been properly maintained, is extremely harmful and prejudicial to Mr. Clement's honor and reputation as an artist. As a world renowned artist, Mr. Clement is held to a very high standard by his fans. Mutilations such as stains, graffiti or bedbug droppings on Mr. Clement's artwork are not consistent with Mr. Clement's signature means of visual expression which has taken him a lifetime to perfect. U.S. Grant is causing immeasurable harm to Mr. Clernent's reputation and interfering with his moral rights as an artist by displaying his artwork in this unauthorized manner. Mr. Clement has requested that U.S. Grant return the damaged pieces to him, but to date U.S. Grant has refused. U.S. Grant has also refused to repair or restore the art. In addition, despite multiple demands from Mr. Clement's representatives, U.S. Grant has not provided Mr. Clement with copies of the insurance policies that it is required to maintain pursuant to the Agreement.. In light of the foregoing, on or about September 1, 01, the parties attempted to resolve their differences through a private mediation session in accordance with Paragraph 1 of the Lease. The mediation was unsuccessful. 1. Mr. Clement has additionally learned that his artwork, which is very distinctive and therefore easily identifiable as Mr. Clement's work, has been prominently featured in commercial pornographic films, which are currently widely distributed, including through the website vvww.girlsdoporn.com. The girlsdoporn.com website is part of a San Diego-based pornography business which films pornographic videos at high end hotels in downtown San Diego. The films featuring Mr. Clement's artwork were clearly shot at the U.S. Grant Hotel in numerous different rooms. However, the hotel has not taken appropriate and effective measures to prevent this practice. 1. In or about June 0, Mr. Clement received notice from the U.S. Grant Hotel that it had assigned its interest in the Agreement to US Grant Hotel San Diego, LLC, a Delaware Limited Liability Company. / / /

1 1 1 1 1 1 1 0 1 FIRST CAUSE OF ACTION (Breach of Contract Against All Defendants) 0. Plaintiff realleges and incorporates by reference the allegations of Paragraphs 1 through 1 set forth above. 1. Plaintiff has performed all conditions, covenants and promises in accordance with the terms of the Agreement, except for those excused by Defendants' non-performance.. On information and belief, Defendants breached the terms of the Agreement by failing to return damaged artwork to Plaintiffs and by failing to maintain insurance coverage in compliance with the express terms set forth in the Agreement.. As a result of Defendants' breaches of the Agreement, Plaintiffs have sustained damages in an amount in excess of the jurisdictional minimum of this court, which amount shall be determined according to proof at trial. SECOND CAUSE OF ACTION (Breach of Implied Covenant of Good Faith and Fair Dealing Against All Defendants). Plaintiff realleges and incorporates by reference the allegations of Paragraphs 1 through set forth above.. The Agreement, like all other contracts entered into in the State of California, contains an implied covenant of good faith and fair dealing. This covenant requires that the parties refrain from doing anything that would deprive the other party of the benefits of the Agreement and to deal fairly and honestly with each other concerning the Agreement.. Defendants, and each of them, have breached the implied covenant of good faith and fair dealing by failing to properly maintain and care for Plaintiff's artwork and by failing to inform Plaintiff of damage to the artwork including, but not limited to, in the form of bedbug infestations.. As a result of Defendants' breaches of the implied covenant of good faith and fair dealing, Plaintiff has sustained damages in an amount in excess of the jurisdictional minimum of this court, which amount shall be determined according to proof at trial. / / /

1 1 1 1 1 1 1 0 1 THIRD CAUSE OF ACTION (Negligence Against All Defendants). Plaintiff realleges and incorporates by reference the allegations of Paragraphs 1 through set forth above.. Defendants, as lessee of Plaintiffs artwork, owed a duty to Plaintiff to use reasonable care to maintain and protect Plaintiffs artwork. 0. Defendants, and each of them, breached their duty by failing to properly maintain Plaintiff's artwork or to take reasonable steps to prevent undue damage to the artwork. Defendants, and each of them, further breached their duty by failing to take reasonable steps to prevent the unauthorized filming and display of Mr. Clement's work for commercial purposes in connection with pornographic films. 1. As a direct and proximate result of Defendants' negligence, Plaintiff has been damaged in an amount in excess of the jurisdictional minimum of this court, which amount shall be determined according to proof at trial. FOURTH CAUSE OF ACTION (Declaratory Relief Against All Defendants). Plaintiff realleges and incorporates by reference the allegations of Paragraphs 1 through 1 set forth above.. An actual controversy has arisen and now exists between Plaintiff, on the one hand, and Defendants, on the other hand, regarding the interpretation of the meaning of "damaged art" pursuant to Section 1(d) of the Lease.. Plaintiff therefore seeks a declaration of the parties' rights and obligations under the Agreement concerning art that has been damaged. PRAYER FOR RELIEF WHEREFORE, Plaintiff prays for judgment against Defendants as follows: 1. For compensatory damages in an amount to be proven at trial;. For a declaration of the parties' rights and obligations pursuant to the Agreement;

1 1 1 1 1 1 1 0 1. For costs of suit incurred herein, and all other costs of suit, including reasonable attorneys' fees and expenses;. For interest on the above-requested damages at the maximum legal rate as provided by law; and. For any other and further relief as the Court may deem proper. DATED: October 1, 0 BY: VEATCH CARLSON, LLP KEVIN R. LUSSIER KIM D. ASHLEY Attorneys for Plaintiff, YVES CLEMENT

1 1 1 1 1 1 1 0 1 DATED: October 1, 0 JURY DEMAND Plaintiffs hereby demand a trial by jury of all issues so triable that are raised or which hereinafter may be raised in this action. BY: VEATCH CARLSON, LLP KEVIN R. LUSSIER KIM D. ASHLEY Attorneys for Plaintiff, YVES CLEMENT