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1 IV.

PRESENT STATE OF NEGOTIATIONS

2 In the spirit and wisdom of settlement, Defendants made a good faith offer to pay
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Plaintiff Mr. Fried the sum of $100,000.00 within thirty (30) days and will issue 500,000 shares
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of Founders Stock to Mr. Fried with a current valuation of the stock at this time is $1.50 per
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6 share under the cap tables. Plaintiff rejected the offer with a counter-offer that was unreasonable

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and not supported by the Plaintiffs damages to be proven at trial.
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Finally, Defendant Wookey is facing a financial crisis in the inability to cover their
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monthly expenses and Gustavson's financial status is equally weak in not receiving any
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11 compensation for his efforts to keep Wookey afloat.

12 VI. CONCLUSION
13 This dispute brought by Plaintiff centers around money and stock he alleges is owed to
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him in connection with his relationship to Responding Party. Responding Party likewise seeks
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reimbursement of monies converted by Plaintiff for his own use, executing a long-term lease
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17 thereby binding Wookey for an enormous liability, and interfering with the business relationship.

18 While the parties have engaged in negotiations, the absurd demands of Plaintiff to settle this

19 matter have prevented any type of resolution.


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Dated: May 3, 2021 SCOTT A. KUDLER, ATTORNEY AT LAW
22 A PROFESSIONAL CORPORATION

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By ~I?.~
Scott A. Kudler
25 Attorneys for Defendants/Cross-Complainants
WOOKEY SEARCH TECHNOLOGIES
26 CORPORATION and MARK GUSTAVSON
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DEFENDANTS/CROSS-COMPLAINANTS WOOKEY SEARCH TECHNOLOGIES CORPORATION AND MARK
GUSTAVSON'S MANDATORY SETTLEMENT CONFERENCE STATEMENT

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