may rely on to supports Its claims in this case may change as the case develops.

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IN THE UNITED STATES DISTRICT COURT,",,'ESTERN DISTRlCT OF MISSOURI SAMUEL K. LIPARI (Statutory Trustee of'dissolvcd Medical Supply Chain, Inc. v. Plaintiff, GENERAL ELECTRIC COMPANY t et AI.~ Defend an ts. Case No. 06-0573..CV-W-F.JG INITI AL DISCLOSURES OF GENERAL ELECTRIC COMPA~ GENERAL ELECTRICAL eapn' AL BUSINESS ASSETS FUNDING CORPORATION, GE TRANSPORTATION SYSTEMS GLOBAL SIGNAIJING LLC COME NOW General Electric Company r'ge"~general Electric Capital Business Assets Funding Corporation f'ge Capital", and GE Transportation Systems Global Signaling, LLC f'ge Transportation" (collectively the ~<GE defendants" make the following initial disclosures pursuant to Fed, R. Civ. P. 26(a(1 based On the information presently known or reasonably available. The information, documents and identity of persons the OR defendants may rely on to supports Its claims in this case may change as the case develops. The following disclosures arc thus made with the caveat that the GE defendants will continue to investigate this matter further and will conduct discovery and to the extent appropriate, and as required by the rules, it will amend and/or supplement these disclosures as additinnal information is obtained or becomes known, or its significan<;c becomes apparent. In making these disclosures, the GE defendants reserve the right to object to any further disclosure or discovery 00 the grounds of privilege or as otherwise appropriate. G9215JR.OT ]

A. Name, and if known" the address and telephone number of each individual likely to have discoverable information that the disclosing party may use to support its claims or defenses, unless solely for impeachment, identified in the subjects and information. t ~ Lynn James Evcrba rd The knowledge of Medical Supply Chain, its attempts to get financing from other sources and facts and circumstances regarding the factual allegations of the Complaint. 2. Sam Lipari The operations of Medical Supply Chain, the dissolution of Medical Supply Chain, communications with the defendants and the facts and circumstances regarding the factual allegations of the Complaint. 3. Brett Landrith The operations of Medical Supply Chain, the dissolution of Medical Supply Chain, communications with the defendants and the facts and circumstances regarding the factual allegations of the Complaint. properties, 4. Barry Pri ce Knowledge regarding the property in question and interest in the property. 5. Scot t Asner Knowledge regarding the properly in question and interest in the property. 6. Allen Lefko Groin Valley Bank Knowledge regarding Medical Supply Chain's abilittes to buy or lease the 7. Pat Campbell Gold Bank {}913 38.0] 2

properties. properties. prop erties, Knowledge regarding Medical Supply Chain's abilities to buy or lease the 8. Randy Castle Jacome Bank Knowledge regarding Medical Supply Chain's abilities to buy or lease the 9. Joan Mark Consultant Knowledge regarding Medical Supply Chain's abilities to buy or lease the 10, George Fricke Discussions with Lipari and Landrith regarding the property, his authority with regard to the property and the facts and circumstances regarding the factual allegations of the Complaint. 1]. Ar.drew Newell Discussions with Lipari and Landrith regarding the property, his authority with regard to the property and the facts and circumstances regarding the fnctual allegations of the Complai nt, 12. Robert Payne Discussions with Lipari and Landrith regarding the property, his authority with regard to the property and the facts and circumstances regarding the factual allegations of the Complaint. M23S3~,OJ 3

13. Tom Davis Discussions with Lipari and Landrith regarding the property, his authority with regard to the property and the facts and circumstances regarding the factual allegations of the Complaint. 14. Gary Jakaiti s Discussions with Lipari and Landrith regarding the property, his authority with regard to the properly and the facts and circumstances regarding the factual allegations of the Compl aint. 15. John Phillips Discussions with Lipari and Landrith regarding the property, his authority with regard to the property and the facts and circumstances regarding the factual allegations of the Complaint. 16. Doug Mackay Discussions with Lipari and Landrith regarding the property, his l\uthnrity with regard to the property and the facts and circumstances regarding the factual allegations of the Complaint. 17. City of Blue Springs Economic Development Director Communications with Lipari and Landrith regarding the property in question and the facts and circumstances regarding the factual allegations of the Complaint, 18. City of Blue Springs Attorney Communi cations with Lipari and Landrith regarding the property in questi on and the facts and circumstances regarding the factual allegations of the Complaint 19. All other persons identified by any other party to this lawsuit. 0913538.01 4

B. Copy of or description by category and location of, all documents, data compilations, and tangible things that are in the possession, custody or control of the party and that the disclosing party may be used to support its claims or defenses unless solely for impeachment: 1. AlI written communicati ons between the parties, 2. All documents provided by a MSC representative to any of the GE defendants. 3T All documents provided by OE representatives to representatives of MSC. 4. Ail documents identified by other parties to this lawsuit. c. Computation of Damages. The GE Defendants are not yet claiming any damages in this case. Not applicable. I-IUSCI-I & EPPENBERGER 1 LLC By: JoJln Il.Power, # 70448 l2'oifmain Street, Suite 2300 Kansas City, MO.64]05 Telephone: (816 421-4800 Facsimile: (B16 421-0596 ATTORNEYS FOR GENERAL ELECTRIC COMPANY~ GENERAL ELECTRIC CAPITAL BUSINESS ASSET FUNDING CORPORATION AND GE TRA.NSPORTATION SYSTE1vlS GLOBAL SIGNALING t LtC 0'923518.0 I 5

CERTIFICA TE OF SERVICE The undersigned hereby certifies that a true and accurate copy of the foregoing instrument "vas forwarded this 27th day of September, 2006 by first class mail postage prepaid to: Samuel [{. Lipari 297 NE Bayview Lee's Summit, MO 64064.P~ 6