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Date: 12-27-2012

Case Style: In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

Case Number: 8:10ML2151 JVS (FMOx).

Judge: James Selna

Court: United States District Court for the Central District of California (Los Angeles County)

Plaintiff's Attorney: Steve W Berman; Christopher L Coffin; C Brooks Cutter; Anita Magdalena Jaskot; William M Sweetnam; Joe R Whatley, Jr.; Scot D. Wilson

Defendant's Attorney: Thomas Jerome Nolan and Joel H Smith

Description: WHEREAS, on November 5, 2009, Seong Bae Choi filed a class action complaint in Seong Bae Choi, et al. v. Toyota Motor Corp., et al., No. 2:09-8143 (C.D. Cal.), alleging, among other things, that Toyota (as defined below) designed, manufactured, distributed, advertised and sold certain automobiles containing an alleged defect that allegedly would allow sudden unintended acceleration of the vehicle to occur and that the plaintiff sustained economic losses as
a result thereof;

WHEREAS, the Seong Bae Choi, et al. action was subsequently consolidated for pretrial
proceedings with additional economic loss class and individual actions alleging similar or
identical claims in In re Toyota Motor Corp. Unintended Acceleration Marketing, Sales
Practices, and Products Liability Litigation, No. 8:10ML2151 JVS (FMOx) (C.D. Cal.) (MDL
2151), pending before the Honorable Judge James V. Selna in the United States District Court
for the Central District of California;

WHEREAS, on May 14, 2010, the Court entered Order No. 2, which designated Steve
W. Berman of Hagens Berman, Frank M. Pitre of Cotchett, Pitre & McCarthy, L.L.P., and Marc
M. Seltzer of Susman Godfrey L.L.P. as co-lead counsel in the economic loss class actions;
WHEREAS, on November 17, 2010, the Court entered Order No. 10: Effect of
Amended Master Consolidated Complaint, which held that the consolidated complaint “amends
and supersedes all economic loss actions in this docket [and] all parties not named and all
theories not asserted in the [consolidated complaint] are dismissed without prejudice from the
economic loss actions”;

WHEREAS, plaintiffs filed an Economic Loss Master Consolidated Complaint on
August 2, 2010, filed an Amended Economic Loss Master Consolidated Complaint on October
27, 2010, filed a Second Amended Economic Loss Master Consolidated Complaint on January
10, 2011, and filed a Third Amended Economic Loss Master Consolidated Complaint on June 4,
2012;

WHEREAS, on July 25, 2012 Plaintiffs (as defined below) filed an Operative Third
Amended Economic Loss Master Consolidated Complaint (defined below as the “TAMCC”);
WHEREAS, as a result of extensive arm’s length negotiations, including numerous
mediation sessions before Settlement Special Master Patrick A. Juneau, Class Representatives,
Plaintiffs’ Class Counsel (all terms as defined below) and Toyota have entered into this
Agreement;

WHEREAS, Plaintiffs’ Class Counsel and other counsel who have appeared in these
Actions (as defined below), have conducted substantial discovery, have investigated the facts and
underlying events relating to the subject matter of the claims, have carefully analyzed the
applicable legal principles, and have concluded, based upon their investigation, and taking into
account the risks, uncertainties, burdens and costs of further prosecution of their claims, and
taking into account the substantial benefits to be received pursuant to this Agreement as set forth
below, which, in the view of the Class Representatives and Plaintiffs’ Class Counsel, is designed
for the purpose of putting to rest all controversies with Toyota that were or could have been
alleged, and that a resolution and compromise on the terms set forth herein is fair, reasonable,
adequate, and in the best interests of the Plaintiffs, Class Representatives and the Class;

WHEREAS, Toyota, for the purpose of avoiding burden, expense, risk, and uncertainty
of continuing to litigate the claims, and for the purpose of putting to rest all controversies with
Plaintiffs, Class Representatives, the Class and/or the Actions that were or could have been
alleged, and without any admission of liability or wrongdoing, desires to enter into this
Agreement;

WHEREAS, Plaintiffs’ Class Counsel represent and warrant that they are fully
authorized to enter into this Agreement on behalf of Class Representatives and the Class, and
that Plaintiffs’ Class Counsel have consulted with and confirmed that all Class Representatives
fully support and have no objection to this Agreement; and

WHEREAS, it is agreed that this Agreement shall not be deemed or construed to be an
admission, concession, or evidence of any violation of any federal, state, or local statute,
regulation, rule, or other law, or principle of common law or equity, or of any liability or
wrongdoing whatsoever, by Toyota or any of the Released Parties (as defined below), or of the
truth or validity of any of the claims that plaintiffs have asserted;

NOW, THEREFORE, without any admission or concession by Class Representatives or
Plaintiffs’ Class Counsel of any lack of merit to their allegations and claims, and without any
admission or concession by Toyota of any liability or wrongdoing or lack of merit in its
defenses, in consideration of the mutual covenants and terms contained herein, and subject to the
final approval of the Court, Plaintiffs, Plaintiffs’ Class Counsel, Class Representatives and
Toyota agree as follows:

I. DEFINITIONS

A. As used in this Agreement and the attached exhibits (which are an integral part of
this Agreement and are incorporated in their entirety by reference), the following terms have the
following meanings, unless this Agreement specifically provides otherwise:

1. “Accelerator Pedal Assembly” means the two accelerator pedal position
sensors which communicate with the ECM to provide information about the position of the
accelerator pedal. This information is utilized by the ECM to continuously calculate the throttle
position. For linked ETCS models, the two accelerator pedal position sensors are located on the
throttle body, not within the pedal assembly itself.

2. “Action” or “Actions” means all economic loss class, mass and individual
actions, however denominated, that are consolidated for pretrial proceedings in the United States
District Court for the Central District of California in In re: Toyota Motor Corp. Unintended
Acceleration Marketing, Sales Practices, and Products Liability Litigation, Case No.
8:10ML2151 JVS (FMOx), which are listed in Exhibit 1 hereto.

3. “Agreement” means this Settlement Agreement and the exhibits attached
hereto or incorporated herein, including any subsequent amendments and any exhibits to such
amendments, which are the settlement (the “Settlement”).

4. “Attorneys’ Fees and Expenses” means such funds as may be awarded by the
Court to compensate any and all attorneys representing plaintiffs who claim to have assisted in
conferring the benefits upon the Class under this Settlement for their fees and expenses in
connection with the Actions and the Settlement, as described in Section VII of this Agreement.

5. “Allocation Counsel” means Ben Bailey, Jane Conroy and Mike Kelly, who
have been appointed by Plaintiffs’ Class Counsel to serve as separate counsel to negotiate among
themselves, under the supervision of the Settlement Special Master, the parameters for
distribution of certain of the consideration set forth herein pursuant to Section II(A).

6. “BOS” means a brake override system.

7. “BOS-Eligible Vehicles” means those Subject Vehicles that are eligible to
receive the benefit described in Section II(A)(3), specifically all non-hybrid Subject Vehicles
that have been the subject of Floor Mat Entrapment Recalls and those Subject Vehicles for which
Toyota previously offered the installation of BOS and that have not yet received BOS, a list of
which is attached hereto as Exhibit 11.

8. “Claim” means the claim of a Class Member or his or her or its representative
submitted on a Claim Form as provided in this Agreement.

9. “Claimant” means a Class Member who has submitted a Claim.

10. “Claim Forms” mean the documents, in substantially the same form as
Exhibits 2 and 3 attached to this Agreement.

11. “Claim Period” means the time period in which Class Members may submit a
Claim Form for review to the Class Action Settlement Administrator. The Claim Period shall
run for approximately 150 days from the date of the first dissemination of the Summary
Settlement Notice or Short Form Notices. The expiration of the Claim Period shall be specified
in the Summary Settlement Notice, Short Form Notices and on the Settlement website.

12. “Claim Process” or “Claim Review Protocol” means the process for
submitting and reviewing Claims described in this Agreement and in Exhibit 14 to this
Agreement.

13. “Class” means, for settlement purposes only, all persons, entities or
organizations who, at any time as of or before the entry of the Preliminary Approval Order, own
or owned, purchase(d), lease(d) and/or insure(d) the residual value, as a Residual Value Insurer,
of Subject Vehicles equipped or installed with an ETCS (as listed in Exhibit 10) distributed for
sale or lease in any of the fifty States, the District of Columbia, Puerto Rico and all other United
States territories and/or possessions. Excluded from the Class are: (a) Toyota, their officers,
directors and employees; their affiliates and affiliates’ officers, directors and employees; their
distributors and distributors’ officers, directors and employees; and Toyota Dealers and Toyota
Dealers’ officers and directors; (b) Plaintiffs’ Class Counsel, Allocation Counsel and their
employees; (c) judicial officers and their immediate family members and associated court staff
assigned to this case; and (d) persons or entities who or which timely and properly exclude
themselves from the Class as provided in this Agreement.

14. “Class Action Settlement Administrator” means the third-party agent or
administrator agreed to by the Parties and appointed by the Court to implement the Claims and
settlement requirements of this Agreement, subject to the Court’s approval. The Parties agree
that Gilardi & Company, LLC shall serve as Class Action Settlement Administrator, subject to
approval by the Court.

15. “Class Member” means a member of the Class.

16. “Class Notice” means the notice program described in Section III.

17. “Class Representatives” means Karina Brazdys, John Moscicki, Dale
Baldisseri, Peggie Perkin, Kathleen Atwater, Georgann Whelan, Ann Fleming-Weaver, Nancy
Seamons, Linda Savoy, Donald Graham, Shirley Ward, John and Mary Ann Laidlaw, Judy
Veitz, Victoria and Barry Karlin, Elizabeth Van Zyl, Green Spot Motors Co., Deluxe Holdings
Inc. and Auto Lenders Liquidation Center, Inc.

18. “Court” means the United States District Court for the Central District of
California.

19. “Cruise Control Switch” means the switch that acts to turn on, off, set, cancel
and resume cruise control.

20. “Engine Control Module” or “ECM” means the computer with software and
hardware that controls the engine and contains diagnostic logic to validate continuously the
throttle position as received from the accelerator pedal position sensors.

21. “Escrow Agent” means the agreed-upon entity to address and hold for
distribution the funds identified in this Agreement pursuant to the terms of an Escrow
Agreement.

22. “Escrow Account” means the custodial or investment account administered by
the Class Action Settlement Administrator in which the funds to be deposited will be held,
invested, administered, and disbursed pursuant to this Agreement and an Escrow Agreement.

23. “Escrow Agreement” means the agreement by and among Plaintiffs’ Class
Counsel, Toyota’s Negotiating Counsel and the Class Action Settlement Administrator with
respect to the escrow of the funds to be deposited into the Escrow Account pursuant to this
Agreement.

24. “ETCS” means the various electronic throttle control systems in the Subject
Vehicles.

25. “Fairness Hearing” means the hearing for the purposes of the Court
determining whether to approve this Agreement as fair, reasonable, and adequate.

26. “Final Effective Date” means the latest date on which the Final Order and/or
Final Judgment approving this Agreement becomes final. For purposes of this Agreement:

a. if no appeal has been taken from the Final Order and/or Final
Judgment, “Final Effective Date” means the date on which the time to
appeal therefrom has expired; or

b. if any appeal has been taken from the Final Order and/or Final
Judgment, “Final Effective Date” means the date on which all appeals
therefrom, including petitions for rehearing or reargument, petitions for
rehearing en banc and petitions for certiorari or any other form of review,
have been finally disposed of in a manner that affirms the Final Order or
Final Judgment; or

c. if Plaintiffs’ Class Counsel and Toyota agree in writing, the “Final
Effective Date” can occur on any other agreed date.

27. “Final Judgment” means the Court’s final judgment as described in Section
VIII of this Agreement, which is to be substantially in the form attached hereto as Exhibit 6.

28. “Final Order” means the Court’s order approving the Settlement and this
Agreement, as described in Section VIII of this Agreement, which is to be substantially in the
form attached hereto as Exhibit 5.

29. “Floor Mat Entrapment Recalls” mean the recalls that were assigned the
following numbers by the National Highway Traffic Safety Administration (“NHTSA”): 09V-
388, 10V-023, 11V-113, 12V-305.

30. “Long Form Notice” means the Long Form Notice substantially in the form
attached hereto as Exhibit 4.

31. “Parties” means Class Representatives and Toyota, collectively, as each of
those terms is defined in this Agreement.

32. “Parts Protection Logic” means a system on hybrid Subject Vehicles that,
among other things, performs a similar function as BOS.

33. “Plaintiffs” mean Kathleen Atwater, Dale Baldisseri, Karina Brazdys, Joseph
Hauter, Aly A. and Lucinda K. Mahmoud, John Moscicki, Peggie Perkin, Thomas F. and
Catherine A Roe, Janette and Tully Seymour, Linda Tang, Israel Flor, Charles Henry, Linda
Savoy, Elizabeth I. Van Zyl, Charmayne Bennett, Rocco and Birdie Doino, John and Mary Ann
Laidlaw, Judy Veitz, Adam Aleszczyk, Kathleen Allen, Jude Anheluk, Joel and Lucy Barker,
Richard Benjamin, Albert and Wanda Bosse, Rich and Jan Bowling, Brandon Bowron, Vanessa
Bozeman, Ebony Brown, Deshawna Carter, David and Arlene Caylor, Susan Chambers, Joseph
John Chant, Demetra Christopher, Maria Cisneros, Donna Cramer, Walter Crigler, Gary Davis,
Hal Farrington, Carole Fisher, Maureen Fitzgerald, Ann Fleming-Weaver, John Geddis, Susan
Gonalez, Donald Graham, Douglas Guilbert, Matthew Heidenreich, Jeremy Henson, Connie A.
Kamphaus, Victoria and Barry Karlin, William and Darlene Kleinfeldt, Richard and Elise
Kuhner, Monica Lowe, Priscilla Manarino-Leggett, Patrick Mann, Katherine Musgrave, Robert
Navarro, Carl Nyquist, Alyson Oliver, Karen Pedigo, Roland Pippin, Bianca and Steven Prade,
George D. Radmall, Randee Romaner, Barbara J. Saunders, Keith Sealing, Nancy Seamons,
Richard Swalm, Jane Taylor, Frank Visconi, Shirley Ward, Ted M. Wedul, Dana C. and Douglas
W. Weller, Georgeann Whelan, Richard Wolf, Carole R. Young, G&M Motors, Inc., Green Spot
Motors Co., Jerry Baker Auto Sales, LLC, Auto Lenders Liquidation Center, Inc. and Deluxe
Holdings, Inc.

34. “Plaintiffs’ Class Counsel” means counsel for plaintiffs in the Actions, who
are: Steve W. Berman, of Hagens Berman Sobol Shapiro LLP; Frank M. Pitre, of Cotchett, Pitre
& McCarthy, LLP, Marc M. Seltzer, of Susman Godfrey LLP.

35. “Preliminary Approval Order” means the order to be entered by the Court
preliminarily approving the Settlement as outlined in Section VIII of this Agreement and to be
substantially in the form attached hereto as Exhibit 7.

36. “Release” means the release and waiver set forth in Section VI of this
Agreement and in the Final Order and Final Judgment.

37. “Released Parties” or “Released Party” means Toyota, and each of their past,
present and future parents, predecessors, successors, spin-offs, assigns, holding companies, joint10
ventures and joint-venturers, partnerships and partners, members, divisions, stockholders,
bondholders, subsidiaries, related companies, affiliates, officers, directors, employees, associates,
dealers, representatives, suppliers, vendors, advertisers, service providers, distributors and subdistributors,
agents, attorneys, administrators and advisors. The Parties expressly acknowledge
that each of the foregoing is included as a Released Party even though not identified by name
herein.

38. “Residual Value Insurer or Guarantor” means an insurance provider or
guarantor, which, by contract or other instrument, assumed the risk of the residual value of a
leased Subject Vehicle.

39. “Settlement Notice Administrator” means the Court-appointed third-party
agent or administrator agreed to by the Parties and appointed by the Court to implement the
Summary Settlement Notice and consult on Class Notice. The Parties agree that Kinsella Media,
LLC shall serve as Settlement Notice Administrator, subject to approval by the Court.

40. “Settlement Special Master” means Patrick A. Juneau, who was appointed by
United States District Judge James V. Selna of the United States District Court for the Central
District of California, on April 26, 2012, pursuant to Order No. 19 (Case No. 8:10ML2151,
Docket # 2462) to serve as Special Master to administer, coordinate and preside over settlementrelated
proceedings.

41. “Short Form Notices” means the Short Form Notices substantially in the form
as attached hereto as Exhibit 12 and 13.

42. “Stop Lamp Switch” means the switch that activates brake lights and informs
the ECM when the brake pedal is depressed. This information is also used by the ECM for
cruise control operation and BOS operation.

43. “Subject Vehicles” means those Toyota, Lexus and Scion vehicles that are
listed in Exhibit 10.

44. “Summary Settlement Notice” means the publication notice substantially in
the form as attached hereto as Exhibit 8.

45. “TAMCC” means the Operative Third Amended Economic Loss Master
Consolidated Complaint filed in In re: Toyota Motor Corp. Unintended Acceleration Marketing,
Sales Practices, and Products Liability Litigation, Case No. 8:10ML2151 JVS (FMOx) on July
25, 2012.

46. “Throttle Body Assembly” means the system that controls the amount of air
entering the engine. It contains a throttle control motor and two throttle position sensors.

47. “Toyota” means Toyota Motor Corporation and Toyota Motor Sales, U.S.A.,
Inc.

48. “Toyota Dealers” means authorized Toyota, Lexus and/or Scion dealers.

49. “Toyota’s Negotiating Counsel” means John P. Hooper of Reed Smith LLP
and J. Gordon Cooney, Jr. of Morgan Lewis & Bockius LLP.

B. Other capitalized terms used in this Agreement but not defined in this Section I
shall have the meanings ascribed to them elsewhere in this Agreement.

C. The terms “he or she” and “his or her” include “it” or “its” where applicable.

II. SETTLEMENT RELIEF

A. Relief Provided to Eligible Class Members

In consideration for the dismissal of the Actions with prejudice, as contemplated in this
Agreement, and for the full and complete Release, Final Order and Final Judgment provided
below, Toyota agrees to provide the following:

1. Qualified Settlement Fund – The Parties shall move the Court to establish and
create a Qualified Settlement Fund, pursuant to Internal Revenue Code § 468B and the
Regulations issued thereto. All payments to be made by Toyota pursuant to Sections II(A)(2),
(4) and (6) shall be made by wire transfer into an Escrow Account, including subaccounts for
each of the three funds described in these Sections, as warranted, established and controlled
consistent with and pursuant to an Escrow Agreement at a mutually-agreed upon bank. The
Escrow Agent shall invest the payments in short-term United States Agency or Treasury
Securities (or a mutual fund invested solely in such instruments), or in a fully United States
Government-insured account, and shall collect and reinvest any and all interest accrued thereon,
if applicable, unless interest rates are such that they would effectively preclude investment in
interest-bearing instruments as defined herein. All (i) taxes on the income of the Escrow Account
and (ii) expenses and costs incurred with taxes paid from the Escrow Account (including,
without limitation, expenses of tax attorneys and accountants) (collectively, “Taxes”) shall be
timely paid out of the Escrow Account without prior Order of the Court. The Parties agree that
the Escrow Agent shall be responsible for filing tax returns for the Qualified Settlement Fund
and paying from the Escrow Account any Taxes owed with respect to the Qualified Settlement
Fund. The Parties hereto agree that the Account shall be treated as a Qualified Settlement Fund
from the earliest date possible, and agree to any relation-back election required to treat the
Account as a Qualified Settlement Fund from the earliest date possible. The Escrow Account
shall be initially comprised of three separate funds which shall together constitute a single
Qualified Settlement Fund. The funds will be separated as further set forth in Sections II(A)(2),
(4) and (6), below.

2. Cash Payment For Alleged Diminished Value – Within 30 days of the Final
Effective Date, Toyota will deposit into the Escrow Account the sum of $250,000,000. Class
Members are eligible to submit Claims for payment under this Section II(A)(2) if they comply
with the Claims requirements of the Settlement and demonstrate in their Claim Forms that they:
(a) sold or traded in an owned Subject Vehicle during the period from September 1, 2009 to
December 31, 2010, inclusive; (b) returned a leased Subject Vehicle before the lease termination
date during the period from September 1, 2009 to December 31, 2010, inclusive; (c) insured
and/or guaranteed the residual value of a Subject Vehicle as of September 1, 2009, and with
respect to such Subject Vehicle, thereafter either made payment to an insured, or sold the Subject
Vehicle, provided such payment or sale was made by a Residual Value Insurer on or before
December 31, 2010; (d) returned a leased Subject Vehicle before the lease termination date, after
having reported an alleged unintended acceleration event(s) (as defined in the attached Claim
Form) to Toyota, a Toyota Dealer or NHTSA before December 1, 2012; or (e) owned a Subject
Vehicle that was declared a total loss by an insurer during the period from September 1, 2009 to
December 31, 2010, inclusive. In no event shall a Class Member receive more than one payment
per each Subject Vehicle from the fund under this Section II(A)(2). For ease of reference, this
fund shall be called the “Alleged Diminished Value Fund.”

a. Allocation Counsel have negotiated among themselves, under the supervision
of the Settlement Special Master, a plan of allocation of this fund among
eligible Class Members so that those parameters can be described as part of
notice to the class. The plan of allocation is attached hereto as Exhibit 16.

b. In the event that the total allocation to eligible Class Members pursuant to this
Section II(A)(2) exceeds the amount of money available in each fund set forth
in Section II(A)(2), payments to eligible Class Members will be reduced pro
rata.

c. If amounts remain in this fund after payment to all eligible Class Members
based on the protocol discussed in this Section II(A)(2) following the
expiration of the Claim Period, then the remaining amounts will be distributed
by the Escrow Agent equally to: (i) reimburse the fees and costs paid by
Toyota to the Class Action Settlement Administrator, Settlement Notice
Administrator, or any other third-party vendor; and (ii) contribute to the the
Automobile Safety and Education Program fund described in Section II(A)
(6), below. If the administrative and/or notice costs are fully reimbursed,
100% of the further remaining amounts will be applied to contribute to the the
Automobile Safety and Education Program fund described in Section II(A)
(6), below.

3. BOS for BOS-Eligible Vehicles – Class Members who, as of the date the
Preliminary Approval Order is entered, own or lease BOS-Eligible Vehicles as listed in Exhibit
11 may have BOS installed by Toyota at Toyota Dealers at no cost and which option shall be
transferable with the Subject Vehicle. It is estimated that over 2.7 million Subject Vehicles are
eligible for BOS pursuant to this Section, which Subject Vehicles have not previously been
offered BOS. The Vehicle Identification Numbers (“VINs”) for all eligible Subject Vehicles
shall be identified in Toyota’s systems so that an eligible Subject Vehicle taken to Toyota
Dealers can be identified and have BOS installed. Toyota will begin to offer this benefit over
time, beginning after entry of the Final Order and Final Judgment by the Court, and will be
provided for two years from the date Toyota gives notice on the Settlement website that BOS is
available for that Subject Vehicle. Toyota already has offered the installation of BOS with
respect to certain vehicle models, and pursuant to this Agreement, Toyota will continue to offer
to install BOS on those BOS-Eligible Vehicles that have not yet received BOS and Toyota shall
send those Class Members a reminder of this benefit.1 Beginning in 2010, Toyota offered BOS
to approximately 3.2 million Subject Vehicles: as of December 6, 2012, approximately 2.65
million Subject Vehicles have already received BOS and approximately 550,000 Subject
Vehicles have not yet received BOS. In addition, hybrid Subject Vehicles already have Parts
Protection Logic that, among other things, performs a similar function as BOS. Inoperable
vehicles and vehicles with a salvaged, rebuilt or flood-damaged title are not eligible for this
benefit.

4. Cash Payment in Lieu of BOS – Within 30 days of the Final Effective Date,
Toyota will deposit into the Escrow Account the sum of $250,000,000. Class Members who
own or lease a Subject Vehicle as of the date the Preliminary Approval Order is entered, are
eligible to make a claim for payment under this Section II(A)(4) if they comply with the Claims
requirements of the Settlement, unless: (a) their Subject Vehicle is a hybrid vehicle; (b) they
already actually received BOS on their Subject Vehicle; and/or (c) they are eligible to receive
BOS on their Subject Vehicle as described in Section II(A)(3).

a. Allocation Counsel have negotiated among themselves, under the supervision of
the Settlement Special Master, a plan of allocation of this fund among Class
Members so that those parameters can be described as part of notice to the class.

The plan of allocation is attached hereto as Exhibit 16.

1 Toyota will continue to install BOS on Sequoia vehicles that have not yet received BOS, up to the end-date of the
current Sequoia limited service campaign of October 31, 2013.

b. In the event that total payments to eligible Class Members exceed the amount of
money available in each fund set forth in Section II(A)(4), payments to eligible
Class Members will be reduced pro rata.

c. If amounts remain in this fund after payment to all eligible Class Members based
on the protocol discussed in this Section II(A)(4) following the expiration of the
Claim Period, then the remaining amounts will be distributed by the Escrow
Agent equally to: (i) reimburse the fees and costs paid by Toyota to the Class
Action Settlement Administrator, Settlement Notice Administrator, or any other
third-party vendor; and (ii) contribute to the Automobile Safety and Education
Program described in Section II(A)(6), below. If the administrative and/or notice
costs are fully reimbursed, 100% of the further remaining amounts will be applied
to contribute to the Automobile Safety and Education Program fund described in
Section II(A)(6), below.

5. Customer Support Program – Toyota will offer a Customer Support Program to
all Class Members who own or lease their Subject Vehicles as of the date of entry of the Final
Order and Final Judgment. The Customer Support Program will stand behind the reliability of
the Subject Vehicles by providing prospective coverage for repairs and adjustments needed to
correct defects, if any, in materials or workmanship in any of the following components in each
Subject Vehicle following the date of Final Order and Final Judgment: (i) Engine Control
Module; (ii) Cruise Control Switch; (iii) Accelerator Pedal Assembly; (iv) Stop Lamp Switch;
and (v) Throttle Body Assembly. The duration of prospective coverage will begin following the
date of Final Order and Final Judgment and will be calculated based on 10 years from the
expiration of the existing warranty for each of these parts, with a maximum limit of 150,000
miles from the vehicle’s in-service date, which is the first date the vehicle is either delivered to
an ultimate purchaser, leased, or used as a company car or demonstrator. Regardless of mileage
or warranty expiration, each eligible Subject Vehicle will receive no less than 3 years of
coverage from the date of Final Order and Final Judgment. It is estimated that approximately
16.3 million Subject Vehicles are eligible for this benefit. Inoperable vehicles and vehicles with
a salvaged, rebuilt or flood-damaged title are not eligible for this benefit.

a. Communication of the Customer Support Program - The VIN numbers for the
Subject Vehicles shall be identified in Toyota systems so that the eligible Subject
Vehicles taken to Toyota Dealers can be identified. In addition, the Short Form
Notice attached hereto as Exhibit 12 will include a tear-off portion that
summarizes this benefit. The Settlement website will also include a copy of the
summary.

6. Automobile Safety and Education Program – Within 30 days of the Final
Effective Date, Toyota will contribute $30,000,000 to fund automobile safety research and
education related to issues in the litigation. The fund will be divided between contributions to
university-based automobile/transportation research institutes and an education/information
program for automobile drivers. Additional funding for the Automobile Safety and Education
Program fund may come from the remaining amounts pursuant to Sections II(A)(2) and II(A)(4),
above. The mechanics of how these funds are to be used are set forth in the Automobile Safety
and Education Program attached hereto as Exhibit 15.

B. Claim Form Submission and Review

1. In addition to the relief provided to Class Members identified above, the cost
of Settlement notice and claims administration will be funded by Toyota with the potential for
partial or complete reimbursement pursuant to Sections II(A)(2)(c) and II(A)(4)(c), above.

2. In order to be eligible for payment pursuant to Sections II(A)(2) and II(A)(4),
Class Members must submit a Claim pursuant to the Claim Process during the Claim Period, and
the Class Action Settlement Administrator shall review and evaluate the Claim. The Class
Action Settlement Administrator shall administer the claim relief specified in this Settlement
Agreement pursuant to the terms of the Claim Review Protocol, which is attached hereto as
Exhibit 14. As part of the Claim Process, Class Members will be eligible for the relief provided
in this Agreement, provided Class Members timely complete and submit the Claim Form to the
Class Action Settlement Administrator. The Claim Forms will be included with the Long Form
Notice and available on the Settlement website.

3. The Claim Forms shall advise Class Members that the Class Action
Settlement Administrator has the right to request verification of eligibility, including verification
of the purchase, ownership, lease or resale of Subject Vehicles. If the Class Member does not
timely comply and/or is unable to timely produce documents to substantiate and/or verify the
information on the Claim Forms and the Claim is otherwise not approved, the Claim shall be
disqualified. In no event shall a Class Member or affiliate or representative of the Class Member
receive more than one payment per Subject Vehicle.

4. The Class Action Settlement Administrator shall provide periodic updates at
least every two weeks to the Parties regarding Claim Form submissions beginning not later than
one week before the Fairness Hearing date and continuing on a monthly basis thereafter.

5. The Class Action Settlement Administrator shall use its best efforts to begin to
pay timely, valid and approved Claims not before 180 days after the close of the Claim Period or
the occurrence of the Final Effective Date, whichever is later. Not later than 270 days after
either the occurrence of the Final Effective Date or the close of the Claim Period, whichever is
later, the Class Action Settlement Administrator shall use its best efforts to have completed the
payment to Class Members who have submitted timely, valid and approved Claims pursuant to
the Claim Process. However, Toyota may, at its sole discretion, commence this payment period
after final approval of the Settlement by the Court, but before the attainment of the Final
Effective Date.

III. NOTICE TO THE CLASS

A. Components And Cost of Class Notice

Class Notice will be accomplished through a combination of the Short Form Notices,
Summary Settlement Notice, notice through the Settlement website, Long Form Notice, and
other applicable notice, each of which is described below, as specified in the Preliminary
Approval Order, the Declaration of the Settlement Notice Administrator (attached hereto as
Exhibit 9), and this Agreement and in order to comply with all applicable laws, including but not
limited to, Fed. R. Civ. P. 23, the Due Process Clause of the United States Constitution, and any
other applicable statute, law or rule.

B. Short Form Notices

Beginning not later than March 1, 2013, the Class Action Settlement Administrator shall
send the Short Form Notices, substantially in the form attached hereto as Exhibit 12 and 13, by
U.S. Mail, proper postage prepaid, to current registered owners of Subject Vehicles and
registered owners of Subject Vehicles during the period September 1, 2009 through December
31, 2010, as identified by data to be forwarded to the Class Action Settlement Administrator by
R.L. Polk & Co. This will be done as part of efforts to notify Class Members who may be
eligible for the cash payment from the Alleged Diminished Value Fund pursuant to Section
II(A)(2) above. The Short Form Notices shall inform potential Class Members on how to obtain
Long Form Notice via the Settlement website, via regular mail or via a toll-free telephone
number, pursuant to Sections III(E) and III(F), below. In addition, the Class Action Settlement
Administrator shall: (a) re-mail any notices returned by the United States Postal Service with a
forwarding address no later than the deadline found in the Preliminary Approval Order; (b) by
itself or using one or more address research firms, as soon as practicable following receipt of any
returned notices that do not include a forwarding address, research such returned mail for better
addresses and promptly mail copies of the applicable notice to any better addresses so found.

C. Summary Settlement Notice

Beginning approximately March 1, 2013, the Settlement Notice Administrator shall cause
the publication of the Summary Settlement Notice as described in the Declaration of the
Settlement Notice Administrator and in such additional newspapers, magazines and/or other
media outlets as shall be agreed upon by the Parties. The form of Summary Settlement Notice
agreed upon by the Parties is in the form substantially similar to the one attached to the
Agreement as Exhibit 8.

D. Internet Website

The Class Action Settlement Administrator shall establish a Settlement website that will
inform Class Members of the terms of this Agreement, their rights, dates and deadlines and
related information. The website shall include, in .pdf format, materials agreed upon by the
Parties and/or required by the Court.

E. Long Form Notice

1. Contents of Long Form Notice.

The Long Form Notice shall be in a form substantially similar to the document
attached to this Agreement as Exhibit 4, respectively, and shall advise Class
Members of the following:

a. General Terms: The Long Form Notice shall contain a plain and
concise description of the nature of the Actions, the history of the
litigation of the claims, the preliminary certification of the Class for
settlement purposes, and the proposed Settlement, including information
on the identity of Class Members, how the proposed Settlement would
provide relief to the Class and Class Members, what claims are released
under the proposed Settlement and other relevant terms and conditions.

b. Opt-Out Rights: The Long Form Notice shall inform Class Members
that they have the right to opt out of the Settlement. The Long Form
Notice shall provide the deadlines and procedures for exercising this right.

c. Objection to Settlement: The Long Form Notice shall inform Class
Members of their right to object to the proposed Settlement and appear at
the Fairness Hearing. The Long Form Notice shall provide the deadlines
and procedures for exercising these rights.

d. Fees and Expenses: The Long Form Notice shall inform Class
Members about the amounts being sought by Plaintiffs’ Class Counsel as
Attorneys’ Fees and Expenses and individual awards to the Plaintiffs and
Class Representatives, and shall explain that Toyota will pay the fees and
expenses awarded to Plaintiffs’ Class Counsel and individual awards to
the Plaintiffs and Class Representatives in addition to amounts being made
available for relief to Class Members by this Settlement.

2. Claim Forms.

The Long Form Notice and Settlement website shall include the Claim Forms, which
shall be in a form substantially similar to the documents attached to this Agreement as Exhibits 2
and 3 and which shall inform the Class Member that he or she must fully complete and timely
return the Claim Form within the Claim Period to be eligible to obtain relief pursuant to this
Agreement.

3. Dissemination of Long Form Notice.

The Long Form Notice shall be available on the Settlement website. The Class Action
Settlement Administrator shall send via first-class mail, the Long Form Notice to those persons
who request it in writing or through the toll-free telephone number.

F. Toll-Free Telephone Number

The Class Action Settlement Administrator shall establish a toll-free telephone number
that will provide settlement-related information to Class Members.

G. Internet Banner Notifications

The Publication Notice Administrator shall, pursuant to the Parties’ agreement, establish
banner notifications on the internet that will provide settlement-related information to Class
Members and shall utilize additional internet-based notice efforts as to be agreed to by the
Parties.

H. Class Action Fairness Act Notice

The Class Action Settlement Administrator shall send to each appropriate State and
Federal official, the materials specified in 28 U.S.C. § 1715 and otherwise comply with its terms.
The identities of such officials and the content of the materials shall be mutually agreeable to the
Parties.

J. Duties of the Class Action Settlement Administrator and the Publication Notice
Administrator

1. The Class Action Settlement Administrator shall be responsible for, without
limitation:

(a) printing, mailing or arranging for the mailing of the Short Form Notices;

(b) handling returned mail not delivered to Class Members; (c) attempting to obtain updated
address information for any Short Form Notices returned without a forwarding address;

(d) making any additional mailings required under the terms of this Agreement; (e) responding to
requests for Long Form Notice; (f) receiving and maintaining on behalf of the Court any Class
Member correspondence regarding requests for exclusion and/or objections to the Settlement;

(g) forwarding written inquiries to Plaintiffs’ Class Counsel or their designee for a response, if
warranted; (h) establishing a post-office box for the receipt of any correspondence; (i)
responding to requests from Plaintiffs’ Class Counsel and/or Toyota’s Negotiating Counsel;

(j) establishing a website and toll-free voice response unit with message capabilities to which
Class Members may refer for information about the Actions and the Settlement; (k) fulfilling any
escheatment obligations that may arise; and (l) otherwise implementing and/or assisting with the
dissemination of the notice of the Settlement. The Class Action Settlement Administrator shall
also be responsible for, without limitation, implementing the terms of the Claim Process and
related administrative activities.

2. The Settlement Notice Administrator shall be responsible for arranging for the
publication of the Summary Settlement Notice, establishing internet banner notifications and for
consulting on Class Notice. The Settlement Notice Administrator and/or the Class Action
Settlement Administrator shall coordinate their activities to minimize costs in effectuating the
terms of this Agreement.

3. If the Class Action Settlement Administrator and/or the Settlement Notice
Administrator make a material or fraudulent misrepresentation to, or conceal requested material
information from, Plaintiffs’ Class Counsel, Toyota or Toyota’s Negotiating Counsel, then the
Party to whom the misrepresentation is made shall, in addition to any other appropriate relief,
have the right to demand that the Class Action Settlement Administrator and/or the Settlement
Notice Administrator, as applicable, immediately be replaced. If the Class Action Settlement
Administrator and/or the Settlement Notice Administrator fail to perform adequately on behalf of
Toyota or the Class, the Parties may agree to remove the Class Action Settlement Administrator
and/or the Settlement Notice Administrator. Under such circumstances, the other Party shall not
unreasonably withhold consent to remove the Class Action Settlement Administrator and/or the
Settlement Notice Administrator, but this event shall occur only after Toyota’s Negotiating
Counsel and Plaintiffs’ Class Counsel have attempted to resolve any disputes regarding the
retention or dismissal of the Class Action Settlement Administrator and/or the Settlement Notice
Administrator in good faith, and, if they are unable to do so, after the matter has been referred to
the Court for resolution.

4. The Class Action Settlement Administrator and/or the Settlement Notice
Administrator may retain one or more persons to assist in the completion of his or her
responsibilities.

5. Not later than 10 days before the date of the Fairness Hearing, the Class Action
Settlement Administrator shall file with the Court a list of those persons who have opted out or
excluded themselves from the Settlement. The Settlement Notice Administrator shall file with
the Court the details outlining the scope, method and results of the notice program.

6. The Class Action Settlement Administrator and the Parties shall promptly after
receipt provide copies of any requests for exclusion, objections and/or related correspondence to
each other.

K. Self-Identification



Because the vehicle registration records to be provided by R.L. Polk & Co. may not be
fully accurate in all respects and may not identify every Class Member eligible to receive a
payment under the Agreement, qualifying Class Members must complete and file a Claim Form
(using the Claim Form attached as Exhibit 2 for claims filed under Section II(A)(2); and using
the Claim Form attached as Exhibit 3 for claims filed under Section II(A)(4)), and provide
necessary documentation identified in the Claim Form timely indicating that they wish to and are
eligible to receive a payment pursuant to Sections II(A)(2) or II(A)(4).



IV. REQUESTS FOR EXCLUSION

A. Any potential Class Member who wishes to be excluded from the Class must mail
a written request for exclusion to the Class Action Settlement Administrator at the address
provided in the Long Form Notice, postmarked on a date ordered by the Court specifying that he
or she wants to be excluded and otherwise complying with the terms stated in the Long Form
Notice and Preliminary Approval Order. The Class Action Settlement Administrator shall
forward copies of any written requests for exclusion to Plaintiffs’ Class Counsel and Toyota’s
Negotiating Counsel. A list reflecting all requests for exclusion shall be filed with the Court by
the Class Action Settlement Administrator no later than 20 days before the Fairness Hearing. If
a potential Class Member files a request for exclusion, he or she may not file an objection under
Section V.

B. Any potential Class Member who does not file a timely written request for
exclusion as provided in Section IV shall be bound by all subsequent proceedings, orders and
judgments, including, but not limited to, the Release, Final Order and Final Judgment in the
Actions, even if he, she or it has litigation pending or subsequently initiates litigation against
Toyota relating to the claims and transactions released in the Actions. Toyota’s Negotiating
Counsel shall provide to the Class Action Settlement Administrator, within 20 days of the entry
of the Preliminary Approval Order, a list of all counsel for anyone who has then-pending
litigation against Toyota relating to claims involving the Subject Vehicles and/or otherwise
covered by the Release.

V. OBJECTIONS TO SETTLEMENT

A. Any Class Member who has not filed a timely written request for exclusion and
who wishes to object to the fairness, reasonableness, or adequacy of this Agreement or the
proposed Settlement, or to the award of Attorneys’ Fees and Expenses, or the individual awards
to the Plaintiffs and/or the Class Representatives, must deliver to Plaintiffs’ Class Counsel
identified in the Class Notice and to Toyota’s Negotiating Counsel, and file with the Court, on a
date ordered by the Court a written statement of his or her objections. Any such objection shall
include the specific reason(s), if any, for the objection, including any legal support the Class
Member wishes to bring to the Court’s attention, any evidence or other information the Class
Member wishes to introduce in support of the objections, a statement of whether the Class
Member intends to appear and argue at the Fairness Hearing, and the VINs of the Subject
Vehicle(s) to which the objection applies. Class Members may do so either on their own or
through an attorney retained at their own expense. The objection must include proof that he or
she falls within the definition of the Class.

B. Any Class Member who files and serves a written objection, as described in the
preceding Section V(A), may appear at the Fairness Hearing, either in person or through personal
counsel hired at the Class Member’s expense, to object to the fairness, reasonableness, or
adequacy of this Agreement or the proposed Settlement, or to the award of Attorneys' Fees and
Expenses or awards to the individual Plaintiffs and/or the Class Representatives. Class Members
or their attorneys who intend to make an appearance at the Fairness Hearing must deliver a
notice of intention to appear to one of Plaintiffs’ Class Counsel identified in the Class Notice and
to Toyota’s Negotiating Counsel, and file said notice with the Court, on a date ordered by the
Court.

C. Any Class Member who fails to comply with the provisions of Sections V(A) and
V(B) above shall waive and forfeit any and all rights he or she may have to appear separately
and/or to object, and shall be bound by all the terms of this Agreement and by all proceedings,
orders and judgments, including, but not limited to, the Release, the Final Order and the Final
Judgment in the Actions. The exclusive means for any challenge to this Settlement shall be
through the provisions of this Section V. Without limiting the foregoing, any challenge to the
Settlement, Final Approval Order or Final Judgment shall be pursuant to appeal under the
Federal Rules of Appellate Procedure and not through a collateral attack.

D. Any Class Member who objects to the Settlement shall be entitled to all of the
benefits of the Settlement if this Agreement and the terms contained herein are approved, as long
as the objecting Class Member complies with all requirements of this Agreement applicable to
Class Members, including the timely submission of Claim Forms and other requirements herein.

VI. RELEASE AND WAIVER

A. The Parties agree to the following release and waiver, which shall take effect
upon entry of the Final Order and Final Judgment.

B. In consideration for the Settlement, Class Representatives, Plaintiffs and each
Class Member, on behalf of themselves and any other legal or natural persons who may claim
by, through or under them, agree to fully, finally and forever release, relinquish, acquit,
discharge and hold harmless the Released Parties from any and all claims, demands, suits,
petitions, liabilities, causes of action, rights, and damages of any kind and/or type regarding the
subject matter of the Actions, including, but not limited to, compensatory, exemplary, punitive,
expert and/or attorneys’ fees or by multipliers, whether past, present, or future, mature, or not yet
mature, known or unknown, suspected or unsuspected, contingent or non-contingent, derivative
or direct, asserted or un-asserted, whether based on federal, state or local law, statute, ordinance,
regulation, code, contract, common law, or any other source, or any claim of any kind related
arising from, related to, connected with, and/or in any way involving the Actions, the Subject
Vehicles, any and all claims involving the ETCS, any and all claims of unintended acceleration
in any manner that are, or could have been, defined, alleged or described in the Economic Loss
Master Consolidated Complaint, the Amended Economic Loss Master Consolidated Complaint,
the Second Amended Economic Loss Master Consolidated Complaint, the Third Amended
Economic Loss Master Consolidated Complaint, the TAMCC, the Actions or any amendments of
the Actions, including, but not limited to, the design, manufacturing, advertising, testing,
marketing, functionality, servicing, sale, lease or resale of the Subject Vehicles.

C. Notwithstanding the foregoing, Class Representatives, Plaintiffs and Class
Members are not releasing claims for personal injury, wrongful death or actual physical property
damage arising from an accident involving a Subject Vehicle.

D. The Final Order and Final Judgment will reflect these terms.

E. Class Representatives, Plaintiffs and Class Members expressly agree that this
Release, the Final Order, and/or the Final Judgment is, will be, and may be raised as a complete
defense to, and will preclude any action or proceeding encompassed by, this Release.

F. Class Representatives, Plaintiffs and Class Members shall not now or hereafter
institute, maintain, prosecute, assert, and/or cooperate in the institution, commencement, filing,
or prosecution of any suit, action, and/or proceeding, against the Released Parties, either directly
or indirectly, on their own behalf, on behalf of a class or on behalf of any other person or entity
with respect to the claims, causes of action and/or any other matters released through this
Settlement.

G. In connection with this Agreement, Class Representatives, Plaintiffs and Class
Members acknowledge that they may hereafter discover claims presently unknown or
unsuspected, or facts in addition to or different from those that they now know or believe to be
true concerning the subject matter of the Actions and/or the Release herein. Nevertheless, it is
the intention of Plaintiffs’ Class Counsel and Class Members in executing this Agreement fully,
finally and forever to settle, release, discharge, and hold harmless all such matters, and all claims
relating thereto which exist, hereafter may exist, or might have existed (whether or not
previously or currently asserted in any action or proceeding) with respect to the Actions, except
as otherwise stated in this Agreement.

H. Class Representatives expressly understand and acknowledge, and all Class
Representatives, Plaintiffs and Class Members will be deemed by the Final Order and Final
Judgment to acknowledge and waive Section 1542 of the Civil Code of the State of California,
which provides that:

A GENERAL RELEASE DOES NOT EXTEND TO CLAIMS WHICH THE
CREDITOR DOES NOT KNOW OR SUSPECT TO EXIST IN HIS OR
HER FAVOR AT THE TIME OF EXECUTING THE RELEASE, WHICH
IF KNOWN BY HIM OR HER MUST HAVE MATERIALLY AFFECTED
HIS OR HER SETTLEMENT WITH THE DEBTOR.

Class Representatives, Plaintiffs and Class Members expressly waive and relinquish any and all
rights and benefits that they may have under, or that may be conferred upon them by, the
provisions of Section 1542 of the California Civil Code, or any other law of any state or territory
that is similar, comparable or equivalent to Section 1542, to the fullest extent they may lawfully
waive such rights.

I. Class Representatives represent and warrant that they are the sole and exclusive
owners of all claims that they personally are releasing under this Agreement. Class
Representatives further acknowledge that they have not assigned, pledged, or in any manner
whatsoever, sold, transferred, assigned or encumbered any right, title, interest or claim arising
out of or in any way whatsoever pertaining to the Actions, including without limitation, any
claim for benefits, proceeds or value under the Actions, and that Class Representatives are not
aware of anyone other than themselves claiming any interest, in whole or in part, in the Actions
or in any benefits, proceeds or values under the Actions. Class Members submitting a Claim
Form shall represent and warrant therein that they are the sole and exclusive owner of all claims
that they personally are releasing under the Settlement and that they have not assigned, pledged,
or in any manner whatsoever, sold, transferred, assigned or encumbered any right, title, interest
or claim arising out of or in any way whatsoever pertaining to the Actions, including without
limitation, any claim for benefits, proceeds or value under the Actions, and that such Class
Member(s) are not aware of anyone other than themselves claiming any interest, in whole or in
part, in the Actions or in any benefits, proceeds or values under the Actions.

J. Without in any way limiting its scope, and, except to the extent otherwise
specified in the Agreement, this Release covers by example and without limitation, any and all
claims for attorneys’ fees, costs, expert fees, or consultant fees, interest, or litigation fees, costs
or any other fees, costs, and/or disbursements incurred by any attorneys, Plaintiffs’ Class
Counsel, Allocation Counsel, Class Representatives, Plaintiffs or Class Members who claim to
have assisted in conferring the benefits under this Settlement upon the Class.

K. In consideration for the Settlement, Toyota and its past or present officers,
directors, employees, agents, attorneys, predecessors, successors, affiliates, subsidiaries,
divisions, and assigns shall be deemed to have, and by operation of the Final Approval Order
shall have, released Plaintiffs’ Class Counsel and each current and former Plaintiffs and Class
Representatives from any and all causes of action that were or could have been asserted
pertaining solely to the conduct in filing and prosecuting the litigation or in settling the Action.

L. Class Representatives, Plaintiffs’ Class Counsel and any other attorneys who
receive attorneys’ fees and costs from this Settlement acknowledge that they have conducted
sufficient independent investigation and discovery to enter into this Settlement Agreement and,
by executing this Settlement Agreement, state that they have not relied upon any statements or
representations made by the Released Parties or any person or entity representing the Released
Parties, other than as set forth in this Settlement Agreement.

M. The Parties specifically understand that there may be further pleadings, discovery
requests and responses, testimony, or other matters or materials owed by the Parties pursuant to
existing pleading requirements, discovery requests, or pretrial rules, procedures, or orders, and
that, by entering into this Agreement, the Parties expressly waive any right to receive, hear, or
inspect such pleadings, testimony, discovery, or other matters or materials.

N. Nothing in this Release shall preclude any action to enforce the terms of the
Agreement, including participation in any of the processes detailed herein.

O. Class Representatives and Plaintiffs’ Class Counsel hereby agree and
acknowledge that the provisions of this Release together constitute an essential and material term
of the Agreement and shall be included in any Final Order and Final Judgment entered by the
Court.

VII. ATTORNEYS’ FEES AND EXPENSES AND INDIVIDUAL PLAINTIFF AND
CLASS REPRESENTATIVE AWARDS

A. After agreeing to the principal terms set forth in this Settlement Agreement,
Plaintiffs’ Class Counsel and Toyota’s Negotiating Counsel negotiated the amount of Attorneys’
Fees and Expenses that, following application to the Court and subject to Court approval, would
be paid as the fee award and costs award to plaintiffs’ counsel. As a result of negotiations,
Plaintiffs’ Class Counsel agrees to make on behalf of all plaintiffs’ counsel, and Toyota agrees
not to oppose, an application for an award of Attorneys’ Fees and Expenses in the Actions in the
amount of $200 million in fees, plus up to an additional $27 million in expenses incurred prior to
the Fairness Hearing in the Actions. This award shall be the sole compensation paid by Toyota
for all plaintiffs’ counsel in the Actions and/or for work incurred that inured to the benefit of the
Class.

B. Toyota shall pay to Plaintiffs’ Class Counsel the entire Attorneys’ Fees and
Expenses awarded by the Court not later than 30 days after the later of the Final Effective Date
or the expiration of any appeal period or the resolution of any and all appeals relating to the
Attorneys’ Fees and Expenses award or incentive awards. The Attorneys’ Fees and Expenses
awarded by the Court and payable to Plaintiffs’ Class Counsel shall not be paid from the
settlement funds provided for in Section II above. In the event that the Court awards an amount
less than $200 million in fees and up to $27 million in expenses to be paid in Attorneys’ Fees
and Expenses, Toyota agrees to pay the remainder to the Automobile Safety and Education
Program fund, as provided for in Section II(A)(6).

C. The Attorneys’ Fees and Expenses paid by Toyota as provided for in this
Agreement shall be allocated by Plaintiffs’ Class Counsel among other plaintiffs’ counsel in a
manner that Plaintiffs’ Class Counsel in good faith believes reflects the contributions of
plaintiffs’ counsel to the prosecution and settlement of the claims against Toyota in the Action.
The allocation among counsel shall be approved by the Court, and Plaintiffs’ Class Counsel shall
distribute the Attorneys’ Fees and Expenses as directed by the Court. These Attorneys’ Fees and
Expenses will go to 25 plaintiffs’ firms and approximately 85 attorneys who worked on the
litigation.

D. The proceedings for the Court to determine the amount of Attorneys’ Fees and
Expenses to award and the Court’s award of any Attorneys’ Fees and Expenses are to be
considered by the Court separately from the Court's consideration of the fairness, reasonableness,
and adequacy of the Settlement. The Attorneys’ Fees and Expenses awarded shall be set forth in
a fee and expense award separate from the Final Order and Final Judgment so that any appeal of
one shall not constitute an appeal of the other. Any order or proceedings relating to the
Attorneys’ Fees and Expenses application, or any appeal from any order related thereto, or
reversal or modification thereof, will not operate to terminate or cancel this Agreement, or affect
or delay the Final Effective Date.

E. Plaintiffs’ Class Counsel may petition the Court for incentive awards of up to
$100.00 per hour per Plaintiff and per Class Representative for their time in connection with the
Actions, with a $2,000 minimum award. The purpose of such awards shall be to compensate the
Plaintiffs and Class Representatives for efforts undertaken by them on behalf of the Class. Any
incentive awards made by the Court shall be paid by Toyota, as directed by the Court, within the
later of 30 days of the Final Effective Date or the expiration of any appeal period or the
resolution of any and all appeals relating to the Attorneys’ Fees and Expenses award or incentive
awards. Any disputes regarding the amount of time for which Plaintiffs’ Class Counsel are
seeking compensation for Plaintiffs and Class Representatives shall be resolved by the
Settlement Special Master in writing, whose decision will be final and binding as to the Parties,
although subject to review by the Court.

F. Toyota shall not be liable for, or obligated to pay, any fees, expenses, costs, or
disbursements to any person or entity, either directly or indirectly, in connection with the Actions
or the Agreement, other than as set forth in this Section VII.

VIII. PRELIMINARY APPROVAL ORDER, FINAL ORDER, FINAL JUDGMENT
AND RELATED ORDERS

A. The Parties shall seek from the Court, within 14 days after the execution of this
Agreement, a Preliminary Approval Order in a form substantially similar to Exhibit 7. The
Preliminary Approval Order shall, among other things:

1. Certify a nationwide settlement-only Class, approve plaintiffs as Class
Representatives and appoint Plaintiffs’ Class Counsel as counsel for the class, pursuant to Fed.
R. Civ. P. 23;

2. Preliminarily approve the Settlement;

3. Require the dissemination of the Notice and the taking of all necessary and
appropriate steps to accomplish this task;

4. Determine that Class Notice complies with all legal requirements, including,
but not limited to, the Due Process Clause of the United States Constitution;

5. Schedule a date and time for a Fairness Hearing to determine whether the
Settlement should be finally approved by the Court;

6. Require Class Members who wish to exclude themselves to submit an
appropriate and timely written request for exclusion as directed in this Agreement and Long
Form Notice and that a failure to do so shall bind those Class Members who remain in the Class;

7. Require Class Members who wish to object to this Agreement to submit an
appropriate and timely written statement as directed in this Agreement and Long Form Notice;

8. Require Class Members who wish to appear to object to this Agreement to
submit an appropriate and timely written statement as directed in the Agreement and Long Form
Notice;

9. Require attorneys representing Class Members, at the Class Members’
expense, to file a notice of appearance as directed in this Agreement and Long Form Notice;
10. Issue a preliminary injunction and stay all other Actions in the MDL pending
final approval by the Court;

11. Issue a preliminary injunction enjoining potential Class Members, pending the
Court’s determination of whether the Settlement should be given final approval, from
challenging in any action or proceeding any matter covered by this Settlement, except for
proceedings in this Court to determine whether the Settlement will be given final approval;

12. Appoint the Class Action Settlement Administrator and the Settlement Notice
Administrator;

13. Authorize Toyota to take all necessary and appropriate steps to establish the
means necessary to implement the Agreement; and

14. Issue other related orders to effectuate the preliminary approval of the
Agreement.

B. After the Fairness Hearing, the Parties shall seek to obtain from the Court a Final
Order and Final Judgment in the forms substantially similar to Exhibits 5 and 6, respectively.
The Final Order and Final Judgment shall, among other things:

1. Find that the Court has personal jurisdiction over all Plaintiffs and Class
Members, that the Court has subject matter jurisdiction over the claims asserted in the TAMCC
and the Actions, and that venue is proper;

2. Finally approve the Agreement and Settlement, pursuant to Fed. R. Civ. P. 23;

3. Finally certify the Class for settlement purposes only;

4. Find that the notice and the notice dissemination methodology complied with
all laws, including, but not limited to, the Due Process Clause of the United States Constitution;

5. Dismiss the Actions, including the Actions listed on Exhibit 1, with prejudice
and without costs (except as provided for herein as to costs);

6. Incorporate the Release set forth in the Agreement and make the Release
effective as of the date of the Final Order and Final Judgment;

7. Issue a permanent injunction;

8. Authorize the Parties to implement the terms of the Agreement;

9. Retain jurisdiction relating to the administration, consummation, enforcement,
and interpretation of the Agreement, the Final Order and Final Judgment, and for any other
necessary purpose; and

10. Issue related Orders to effectuate the final approval of the Agreement and its
implementation.

IX. MODIFICATION OR TERMINATION OF THIS AGREEMENT

A. The terms and provisions of this Agreement may be amended, modified, or
expanded by written agreement of the Parties and approval of the Court; provided, however, that
after entry of the Final Order and Final Judgment, the Parties may by written agreement effect
such amendments, modifications, or expansions of this Agreement and its implementing
documents (including all exhibits hereto) without further notice to the Class or approval by the
Court if such changes are consistent with the Court’s Final Order and Final Judgment and do not
limit the rights of Class Members under this Agreement.

B. This Agreement shall terminate at the discretion of either Toyota or the Class
Representatives, through Plaintiffs’ Class Counsel, if: (1) the Court, or any appellate court(s),
rejects, modifies, or denies approval of any portion of this Agreement or the proposed Settlement
that the terminating party in its (or their) sole judgment and discretion reasonably determine(s) is
material, including, without limitation, the terms of relief, the findings, or conclusions of the
Court, the provisions relating to notice, the definition of the Class, and/or the terms of the
Release; or (2) the Court, or any appellate court(s), does not enter or completely affirm, or alters,
narrows or expands, any portion of the Final Order and Judgment, or any of the Court’s findings
of fact or conclusions of law, that the terminating party in its (or their) sole judgment and
discretion reasonably determine(s) is material. The terminating party must exercise the option to
withdraw from and terminate this Agreement, as provided in this Section IX, by a signed writing
served on the other Parties no later than 20 days after receiving notice of the event prompting the
termination. The Parties will be returned to their positions status quo ante.

C. Toyota shall have the right, but not the obligation, to terminate this Agreement if
the total number of timely and valid requests for exclusion exceed 25,000 putative class
members.

D. If an option to withdraw from and terminate this Agreement arises under Section
IX(B) above, neither Toyota nor Class Representatives are required for any reason or under any
circumstance to exercise that option and any exercise of that option shall be in good faith.

E. If, but only if, this Agreement is terminated pursuant to Section IX(B), above,
then:

1. This Agreement shall be null and void and shall have no force or effect, and
no Party to this Agreement shall be bound by any of its terms, except for the terms of Section
IX(D) herein;

2. The Parties will petition the Court to have any stay orders entered pursuant to
this Agreement lifted;

3. All of its provisions, and all negotiations, statements, and proceedings relating
to it shall be without prejudice to the rights of Toyota, Class Representatives, Plaintiffs or any
Class Member, all of whom shall be restored to their respective positions existing immediately
before the execution of this Agreement, except that the Parties shall cooperate in requesting that
the Court set a new scheduling order such that no Party’s substantive or procedural rights is
prejudiced by the settlement negotiations and proceedings;

4. Released Parties expressly and affirmatively reserve all defenses, arguments,
and motions as to all claims that have been or might later be asserted in the Actions, including,
without limitation, the argument that the Actions may not be litigated as a class action;

5. Class Representatives, Plaintiffs and all other Class Members, on behalf of
themselves and their heirs, assigns, executors, administrators, predecessors, and successors,
expressly and affirmatively reserve and do not waive all motions as to, and arguments in support
of, all claims, causes of actions or remedies that have been or might later be asserted in the
Actions including, without limitation, any argument concerning class certification, and treble or
other damages;

6. Toyota, and the other Released Parties expressly and affirmatively reserve
and do not waive all motions and positions as to, and arguments in support of, all defenses to the
causes of action or remedies that have been sought or might be later asserted in the actions,
including without limitation, any argument or position opposing class certification, liability or
damages;

7. Neither this Agreement, the fact of its having been made, nor the negotiations
leading to it, nor any discovery or action taken by a Party or Class Member pursuant to this
Agreement shall be admissible or entered into evidence for any purpose whatsoever;

8. Any settlement-related order(s) or judgment(s) entered in this Action after the
date of execution of this Agreement shall be deemed vacated and shall be without any force or
effect;

9. All costs incurred in connection with the Settlement, including, but not limited
to, notice, publication, and customer communications, will be paid from the Settlement Fund.
Neither Plaintiffs nor Plaintiffs’ Class Counsel shall be responsible for any of these costs or other
settlement-related costs;

10. Any attorneys’ fees and expenses previously paid to Plaintiffs’ Class Counsel
shall be returned to Toyota; and

11. Notwithstanding the terms of this paragraph, if Settlement is not
consummated, Plaintiffs’ Class Counsel may include any time spent in Settlement efforts as part
of any statutory fee petition filed at the conclusion of the case, and Toyota reserves the right to
object to the reasonableness of such requested fees.

X. GENERAL MATTERS AND RESERVATIONS

A. Toyota has denied and continues to deny each and all of the claims and
contentions alleged in the Actions, and has denied and continues to deny that it has committed
any violation of law or engaged in any wrongful act that was alleged, or that could have been
alleged, in the Actions. Toyota believes that it has valid and complete defenses to the claims
asserted against it in the Actions and denies that it committed any violations of law, engaged in
any unlawful act or conduct, or that there is any basis for liability for any of the claims that have
been, are, or might have been alleged in the Actions. Without in any way limiting the scope of
this denial, Toyota denies that there is any defect in its ETCS. Nonetheless, Toyota has
concluded that it is desirable that the Actions be fully and finally settled in the matter and upon
the terms and conditions set forth in this Agreement.

B. The obligation of the Parties to conclude the proposed Settlement is and shall be
contingent upon each of the following:

1. Entry by the Court of the Final Order and Final Judgment approving the
Settlement, from which the time to appeal has expired or which has remained unmodified after
any appeal(s); and

2. Any other conditions stated in this Agreement.

C. The Parties and their counsel agree to keep the existence and contents of this
Agreement confidential until the date on which the Motion for Preliminary Approval is filed;
provided, however, that this Section shall not prevent Toyota from disclosing such information,
prior to the date on which the Motion for Preliminary Approval is filed, to state and federal
agencies, independent accountants, actuaries, advisors, financial analysts, insurers or attorneys,
nor shall it prevent Toyota from disclosing such information based on the substance of this
Agreement. Nor shall it prevent the Parties and their counsel from disclosing such information
to persons or entities (such as experts, courts, co-counsel, and/or administrators) to whom the
Parties agree disclosure must be made in order to effectuate the terms and conditions of this
Agreement.

D. Class Representatives and Plaintiffs’ Class Counsel agree that the confidential
information made available to them solely through the settlement process was made available, as
agreed to, on the condition that neither Class Representatives nor their counsel may disclose it to
third parties (other than experts or consultants retained by Class Representatives in connection
with the Actions); that it not be the subject of public comment; that it not be used by Class
Representatives or Plaintiffs’ Class Counsel in any way in this litigation or otherwise should the
Settlement not be achieved, and that it is to be returned if a Settlement is not concluded;
provided, however, that nothing contained herein shall prohibit Class Representatives from
seeking such information through formal discovery if not previously requested through formal
discovery or from referring to the existence of such information in connection with the
Settlement of the Actions.

E. Information provided by Toyota, Toyota’s Negotiating Counsel, and/or the
Settlement Special Master to Class Representatives, Plaintiffs’ Class Counsel, any individual
Class Member, counsel for any individual Class Member, and/or administrators, pursuant to the
negotiation and implementation of this Agreement, includes trade secrets and highly confidential
and proprietary business information and shall be deemed “Highly Confidential” pursuant to the
protective orders that have been or will be entered in the Actions, and shall be subject to all of
the provisions thereof. Any materials inadvertently produced shall, upon Toyota’s request, be
promptly returned to Toyota’s Negotiating Counsel, and there shall be no implied or express
waiver of any privileges, rights and defenses.

F. Within 90 days after the Final Effective Date (unless the time is extended by
agreement of the Parties), Plaintiffs’ Class Counsel, and any expert or other consultant employed
by them in such capacity or any other individual with access to documents provided by Toyota,
and/or Toyota’s Negotiating Counsel, and/or the Settlement Special Master to Plaintiffs’ Class
Counsel shall either: (i) return to Toyota’s Negotiating Counsel, all such documents and
materials (and all copies of such documents in whatever form made or maintained) produced
during the settlement process by Toyota and/or Toyota’s Negotiating Counsel, and/or the
Settlement Special Master and any and all handwritten notes summarizing, describing or
referring to such documents; or (ii) certify to Toyota’s Negotiating Counsel that all such
documents and materials (and all copies of such documents in whatever form made or
maintained) produced by Toyota, and/or Toyota’s Negotiating Counsel, and/or the Settlement
Special Master and any and all handwritten notes summarizing, describing or referring to such
documents have been destroyed, provided, however, that this Section X shall not apply to any
documents made part of the record in connection with a Claim, nor to any documents made part
of a Court filing, nor to Plaintiffs’ Class Counsel’s work product. Six months after the
distribution of the settlement funds to Class Members who submitted valid Claim Forms, the
Class Action Settlement Administrator shall return or destroy all documents and materials to
Toyota and/or Toyota’s Negotiating Counsel and/or Plaintiffs’ Class Counsel that produced the
documents and materials, except that it shall not destroy any and all Claim Forms, including any
and all information and/or documentation submitted by Class Members. Nothing in this
Agreement shall affect any confidentiality order or protective order in the Action.

G. Toyota’s execution of this Agreement shall not be construed to release – and
Toyota expressly does not intend to release – any claim Toyota may have or make against any
insurer for any cost or expense incurred in connection with this Settlement, including, without
limitation, for attorneys’ fees and costs.

H. Plaintiffs’ Class Counsel represent that: (1) they are authorized by the Class
Representatives to enter into this Agreement with respect to the claims in these Actions; and (2)
they are seeking to protect the interests of the Class.

I. Plaintiffs’ Class Counsel further represent that the Class Representatives: (1) have
agreed to serve as representatives of the Class proposed to be certified herein; (2) are willing,
able, and ready to perform all of the duties and obligations of representatives of the Class,
including, but not limited to, being involved in discovery and fact finding; (3) have read the
pleadings in the Actions, including the TAMCC, or have had the contents of such pleadings
described to them; (4) are familiar with the results of the fact-finding undertaken by Plaintiffs’
Class Counsel; (5) have been kept apprised of settlement negotiations among the Parties, and
have either read this Agreement, including the exhibits annexed hereto, or have received a
detailed description of it from Plaintiffs’ Class Counsel and they have agreed to its terms; (6)
have consulted with Plaintiffs’ Class Counsel about the Actions and this Agreement and the
obligations imposed on representatives of the Class; (7) have authorized Plaintiffs’ Class
Counsel to execute this Agreement on their behalf; and (8) shall remain and serve as
representatives of the Class until the terms of this Agreement are effectuated, this Agreement is
terminated in accordance with its terms, or the Court at any time determines that said Class
Representatives cannot represent the Class.

J. The Parties acknowledge and agree that no opinion concerning the tax
consequences of the proposed Settlement to Class Members is given or will be given by the
Parties, nor are any representations or warranties in this regard made by virtue of this
Agreement. Each Class Member's tax obligations, and the determination thereof, are the sole
responsibility of the Class Member, and it is understood that the tax consequences may vary
depending on the particular circumstances of each individual Class Member.

K. Toyota represents and warrants that the individual(s) executing this Agreement is
authorized to enter into this Agreement on behalf of Toyota.

L. This Agreement, complete with its exhibits, sets forth the sole and entire
agreement among the Parties with respect to its subject matter, and it may not be altered,
amended, or modified except by written instrument executed by Plaintiffs’ Class Counsel and
Toyota’s Negotiating Counsel on behalf of Toyota. The Parties expressly acknowledge that no
other agreements, arrangements, or understandings not expressed in this Agreement exist among
or between them, and that in deciding to enter into this Agreement, they rely solely upon their
judgment and knowledge. This Agreement supersedes any prior agreements, understandings, or
undertakings (written or oral) by and between the Parties regarding the subject matter of this
Agreement.

M. This Agreement and any amendments thereto shall be governed by and
interpreted according to the law of the State of California notwithstanding its conflict of laws
provisions.

N. Any disagreement and/or action to enforce this Agreement shall be commenced
and maintained only in the United States District Court for the Central District of California.

O. Whenever this Agreement requires or contemplates that one of the Parties shall or
may give notice to the other, notice shall be provided by e-mail and/or next-day (excluding
Saturdays, Sundays and Federal Holidays) express delivery service as follows:

1. If to Toyota, then to:

John P. Hooper

Reed Smith LLP

599 Lexington Avenue, 22nd Floor

New York, New York 10022

Tel. 212-521-5400

Fax 212-521-5450

and

J. Gordon Cooney, Jr.

Morgan Lewis & Bockius LLP

1701 Market St.

Philadelphia, PA 19103-2921

Tel. 215- 963-5000

Fax: 215-963-5001

2. If to Plaintiffs, then to:

Steve W. Berman

Hagens Berman

1918 Eighth Ave.

Suite 3300

Seattle, WA 98101

Tel. 206-623-7292

Fax 206-623-0594

and

Frank M. Pitre

Cotchett, Pitre & McCarthy, LLP

San Francisco Airport Office Ctr

840 Malcolm Road, Suite 200

Burlingame, CA 94010

Tel. 650-697-6000

Fax 650-697-0577

and

Marc M. Seltzer

Susman Godfrey LLP

1901 Avenue of the Stars

Suite 950

Los Angeles, CA 90067

Tel. 310-789-3102

Fax 310-789-3150

P. All time periods set forth herein shall be computed in calendar days unless
otherwise expressly provided. In computing any period of time prescribed or allowed by this
Agreement or by order of the Court, the day of the act, event, or default from which the
designated period of time begins to run shall not be included. The last day of the period so
computed shall be included, unless it is a Saturday, a Sunday or a Federal Holiday, or, when the
act to be done is the filing of a paper in court, a day on which weather or other conditions have
made the office of the clerk of the court inaccessible, in which event the period shall run until the
end of the next day that is not one of the aforementioned days. As used in this Section X
“Federal Holiday” includes New Year’s Day, Birthday of Martin Luther King, Jr., Presidents’
Day, Memorial Day, Independence Day, Labor Day, Columbus Day, Veterans Day, Patriot’s
Day, Thanksgiving Day, Christmas Day, and any other day appointed as a holiday by the
President, the Congress of the United States or the Clerk of the United States District Court for
the Central District of California.

Q. The Parties reserve the right, subject to the Court’s approval, to agree to any
reasonable extensions of time that might be necessary to carry out any of the provisions of this
Agreement.

R. The Class, Plaintiffs, Plaintiffs’ Class Counsel, Toyota and/or Toyota’s
Negotiating Counsel shall not be deemed to be the drafter of this Agreement or of any particular
provision, nor shall they argue that any particular provision should be construed against its
drafter. All Parties agree that this Agreement was drafted by counsel for the Parties during
extensive arm’s length negotiations. No parol or other evidence may be offered to explain,
construe, contradict, or clarify its terms, the intent of the Parties or their counsel, or the
circumstances under which this Agreement was made or executed.

S. The Parties expressly acknowledge and agree that this Agreement and its exhibits,
along with all related drafts, motions, pleadings, conversations, negotiations, and
correspondence, constitute an offer of compromise and a compromise within the meaning of
Federal Rule of Evidence 408 and any equivalent rule of evidence in any state. In no event shall
this Agreement, any of its provisions or any negotiations, statements or court proceedings
relating to its provisions in any way be construed as, offered as, received as, used as, or deemed
to be evidence of any kind in the Actions, any other action, or in any judicial, administrative,
regulatory or other proceeding, except in a proceeding to enforce this Agreement or the rights of
the Parties or their counsel. Without limiting the foregoing, neither this Agreement nor any
related negotiations, statements, or court proceedings shall be construed as, offered as, received
as, used as or deemed to be evidence or an admission or concession of any liability or
wrongdoing whatsoever on the part of any person or entity, including, but not limited to, the
Released Parties, Plaintiffs, or the Class or as a waiver by the Released Parties, Plaintiffs or the
Class of any applicable privileges, claims or defenses.

T. Plaintiffs expressly affirm that the allegations contained in the TAMCC were
made in good faith, but consider it desirable for the Actions to be settled and dismissed because
of the substantial benefits that the proposed settlement will provide to Class Members.

U. The Parties, their successors and assigns, and their counsel undertake to
implement the terms of this Agreement in good faith, and to use good faith in resolving any
disputes that may arise in the implementation of the terms of this Agreement.

V. The waiver by one Party of any breach of this Agreement by another Party shall
not be deemed a waiver of any prior or subsequent breach of this Agreement.

W. If one Party to this Agreement considers another Party to be in breach of its
obligations under this Agreement, that Party must provide the breaching Party with written
notice of the alleged breach and provide a reasonable opportunity to cure the breach before
taking any action to enforce any rights under this Agreement.

X. The Parties, their successors and assigns, and their counsel agree to cooperate
fully with one another in seeking Court approval of this Agreement and to use their best efforts
to effect the prompt consummation of this Agreement and the proposed Settlement.

Y. This Agreement may be signed with a facsimile signature and in counterparts,
each of which shall constitute a duplicate original.

Z. In the event any one or more of the provisions contained in this Agreement shall
for any reason be held to be invalid, illegal, or unenforceable in any respect, such invalidity,
illegality, or unenforceability shall not affect any other provision if Toyota, on behalf of
Defendants, and Plaintiffs’ Class Counsel, on behalf of Class Representatives and Class
Members, mutually agree in writing to proceed as if such invalid, illegal, or unenforceable
provision had never been included in this Agreement. Any such agreement shall be reviewed
and approved by the Court before it becomes effective.

-- THE REMAINDER OF THIS PAGE INTENTIONALLY LEFT BLANK --

Agreed to on the date indicated below.
APPROVED AND AGREED TO BY PLAINTIFFS’ CLASS COUNSEL
AS AUTHORIZED BY CLASS REPRESENTATIVES

BY_________________________________ DATE: December 26, 2012

STEVE W. BERMAN

HAGENS BERMAN SOBOL SHAPIRO LLP

BY_________________________________ DATE: December 26, 2012

FRANK M. PITRE

COTCHETT, PITRE & MCCARTHY, LLP

BY_________________________________ DATE: December 26, 2012

MARC M. SELTZER

SUSMAN GODFREY LLP

APPROVED AND AGREED TO BY TOYOTA MOTOR CORPORATION AND TOYOTA
MOTOR SALES, U.S.A., INC.

BY_________________________________ DATE: December 26, 2012

CHRISTOPHER P. REYNOLDS

CHIEF LEGAL OFFICER

TOYOTA NORTH AMERICA

APPROVED AND AGREED TO AS TO FORM
BY TOYOTA’S NEGOTIATING COUNSEL

BY_________________________________ DATE: December 26, 2012

JOHN P. HOOPER

REED SMITH LLP

BY_________________________________ DATE: December 26, 2012

J. GORDON COONEY, JR.

MORGAN LEWIS & BOCKIUS LLP

Exhibit 1

ProposedLIST OF ECONOMIC LOSS ACTIONS IN THE MDL

No. Full Case Name Civ. Action

No.

State District Division

1. Aaron Jones and Isabella Jones, Thomas
Downey, Sr., and Bernadine Shepard and Alfred
Shepard,

v.

Toyota Motor North America, Inc., Toyota
Motor Engineering & Manufacturing North
America, Inc., and Toyota Motor Sales, U.S.A.,
Inc.

8:10-cv-
00578
(formerly
2:10-cv-
00687)
LA E.D. La. New
Orleans

2. Al and Jo Anna Viviano, Paul Turner, Kyle
Briggs, Shalini Ignatenkov, Charles and Karen
Gibbens, Lori S. and Thomas A. Trahan, Erica
Thomas, Holly Boyd, Connie and Thomas
Kamphaus, Brena and Lee Shonfield, and Alan L.
Weller,

v.

Toyota Motor Engineering & Manufacturing
North America, Inc., Toyota Motor Manufacturing
Kentucky, Inc., Toyota Motor Sales, U.S.A., Inc.,
and Toyota Lease Trust.

8:10-cv-
00653
(formerly
2:10-cv-
00024)

KY E.D. Ky Northern

(Covington)

3. Allie Rockforte, on behalf of herself and all others
similarly situated,
v.
Toyota Motor North America Inc.; Toyota Motor
Engineering & Manufacturing North America Inc.;
and Toyota Motor Sales U.S.A., Inc.

8:10-cv-
00580 (3:10-
cv-00174)
LA M.D.
La.

Baton
Rouge

4. Alyson L. Oliver
v.
Toyota Motor Sales, U.S.A., Inc.; Toyota Motor
Engineering & Manufacturing North America,
Inc.; and Toyota Motor Corporation

8:10-cv-
00586
(formerly
0:10-cv-
00942)
MN D.
Minn.
n/a

5. Amanda J. Noble,
v.
Toyota Motor North America, Inc, a California
corporation, Toyota Motor Sales, U.S.A., Inc., a
California corporation, and Toyota Motor
Corporation, a foreign corporation

8;10-cv-
00723
(formerly
1:10-cv-
00915)
CO D. Colo. Denver
Proposed
No. Full Case Name Civ. Action
No.
State District Division

6. Amanda Laird f/k/a Amanda Hood Rebecca
Clifton, and Christine Schara, individually and on
behalf of a class of similarly situated citizens in
the United States,
v.
Toyota Motor Corporation, a foreign corporation,
and Toyota Motor Sales, USA, Inc., a California
corporation

8:10-cv-
00566 (3:10-
cv-00022)
GA S.D. Ga. Dublin

7. Amanda R. Maillho,
v.
Toyota Motor North America, Inc.; Toyota Motor
Engineering & Manufacturing North America,
Inc.; and Toyota Motor Sales, U.S.A., Inc.

8:10-cv-
00467
(formerly
2:10-cv-
00279)
LA E.D. La. New
Orleans

8. Walter Scott Tarter, on behalf of himself and all
others similarly situated,
v.
Toyota Motor North America , Inc., Toyota Motor
Engineering & Manufacturing North America ,
Inc., Toyota Motor Manufacturing, California ,
Inc., Toyota Motor Sales U.S.A. Inc., Toyota
Motor Manufacturing, Kentucky, Inc., Toyota
Motor Corporation, and CTS Corporation

8:10-cv-
00743
(formerly
2:10-cv-
00060)
KY E.D.
Ky.
Covington

9. Anthony Bonacci, and Melanie Bonacci
v.
Toyota Motor Corporation, A Foreign
Corporation, and Toyota Motor Sales, USA, Inc.,
A California Corporation
8:10-cv-
00766
(formerly
8:10-cv-
00149)
NE D. Neb. Omaha

10. Antonio Ramos and Tahiry Ramos, on behalf of
themselves and others similarly situated,
v.
Toyota Motor Sales U.S.A., Inc.

8:10-cv-
00726
(formerly
1:10-cv-
20630)
FL S.D.
Fla.
Miami
Proposed
-
No. Full Case Name Civ. Action
No.
State District Division

11. Arlene S. Heilbrunn, as an individual and on
behalf of all others similarly situated,
v.
Toyota Motor Corporation, a foreign corporation,
and Toyota Motor Sales, USA, Inc., a California
corporation

8:10-cv-
00564
(formerly
9:10-cv-
80208)
FL S.D.
Fla.
Miami

12. Barbara Iglesias, Individually and On Behalf Of
All Others Similarly Situated,
v.
Toyota Motor Corporation; Toyota Motor Sales,
U.S.A., Inc; Toyota Motor North America, Inc;
Toyota Motor Engineering & Manufacturing,
N.A., Inc.; Lexus; Toyota Motor Manufacturing,
Indiana, Inc.; Toyota Motor Manufacturing, Texas,
Inc.; Toyota Motor Manufacturing, Kentucky,
Inc.; New United Motor Manufacturing, Inc.,
Subaru of Indiana Automotive, Inc.; CTS
Corporation and
Doe Defendants 1 through 10

8:10-cv-
00602
(formerly
1:10-cv-
01014)
NY S.D.N.Y
.
Foley
Square

13. Belva Simmons, William Simmons, and David
Works as individuals and on behalf of all others
similarly situated,
v.
Toyota Motor Corporation, a foreign corporation,
Toyota Motor Sales, USA, Inc., a California
corporation, and Toyota North America, Inc., a
California corporation.

8:10-cv-
00589
(formerly
3:10-cv-
00009)
MS N.D.
Miss.
Western

14. Bonnie Shansky, on behalf of herself and all others
similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc., and John Does

1-10
8:10-cv-
00736
(formerly
1:10-cv-
01379)
IL N.D. Ill. Chicago

15. Bridgette Scott, individually and on behalf of all
others similarly situated
v.
Toyota Motor North America, Inc, a foreign
corporation.; Toyota Motor Sales, USA, Inc. a
foreign corporation and General Motors, LLC, a
foreign limited liability company

8:10-cv-
00654
(formerly
8:10-cv-
00450)
MD D. Md. Greenbelt
Proposed

No. Full Case Name Civ. Action
No.
State District Division

16. Burnell Meeks,
v.
Toyota Motor Sales, U.S.A., Inc.
8:10-cv-
01374
(formerly
1:10-cv-
00364)
OH S.D.
Ohio
Western
(Cincinnati)

17. Burton Field, Sheldon Kogen, Robert Kogen and
Joanne Lermar, on behalf of themselves and
persons similarly situated,
v.
Toyota Motor North America, Inc., a California
corporation; Toyota Motor Engineering &
Manufacturing North America, Inc., a Kentucky
corporation; Toyota Motor Manufacturing
Kentucky, Inc., a Kentucky corporation; Toyota
Motor Sales U.S.A., Inc., a California corporation;
and Toyota Motor Corporation, a Japanese
corporation, and Denso Manufacturing Tennessee,
a Tennessee corporation

8:10-cv-
00735
(formerly
1:10-cv-
01351)
IL N.D. Ill. Chicago

18. Cathy Cisetti, May Zhang, Individually, and on
behalf of all others similarly situated,
v.
Toyota Motor Engineering & Manufacturing
North America, Inc., Toyota Motor Sales, U.S.A.,
Inc, Toyota Motor North America, Inc., and
Toyota Motor Corporation

8:10-cv-
00761
(formerly
4:10-cv-
00238)
MO W.D.
Mo.
Kansas City

19. Cesare Coslop IV,
v.
Toyota Motor Corporation, Toyota Motor Sales,
U.S.A., Inc., and John Does 1-10

8:10-cv-
00767
(formerly
3:10-cv-
01623)
NJ D.N.J. Trenton

20. Charlene Tran, individually and on behalf of all
other persons similarly situated,
v.
Toyota Motor North America, Inc., Toyota Motor
Sales, USA, Inc., and Toyota Motor Engineering
& Manufacturing North America, Inc.

8:10-cv-
01001
(formerly
1:10-cv-
01816)
NY S.D.N.Y
.
Foley
Square
Proposed

No. Full Case Name Civ. Action
No.
State District Division

21. Cheryl Abken and Sandra Valdez, individually and
on behalf of all persons similarly situated,
v.
Toyota Motor North America, Inc., a California
corporation, Toyota Motor Sales, U.S.A., Inc., a
foreign corporation, and Toyota Motor
Corporation, a foreign corporation.

8:10-cv-
00594
(formerly
3:10-cv-
00763)
NJ D.N.J. Trenton

22. Christina Ochs, on behalf of herself and all others
similarly situated,
v.
Toyota Motor Corporation, and Toyota Motor
Sales, U.S.A., Inc.

8:10-cv-
00567
(formerly
1:10-cv-
00918)
IL N.D. Ill. Chicago

23. Christine Mitchell,
v.
Toyota Motor North America, Inc.; Toyota Motor
Engineering & Manufacturing, North America,
Inc.; and Toyota Motor Sales, U.S.A., Inc.

8:10-cv-
00591
(formerly
3:10-cv-
00104)
MS S.D.
Miss.
Jackson

24. Christopher Carlson, individually and on behalf of
all other similarly situated,
v.
Toyota Motor Corporation, a foreign corporation,
and Toyota Motor Sales, USA, Inc., a California
corporation

8:10-cv-
00733
(formerly
4:10-cv-
00083)
IA S.D.
Iowa
Central

25. Christopher L. Leaverton, individually and on
behalf of all others similarly situated,
v.
Toyota Motor Engineering & Manufacturing
North America, Inc. and Toyota Motor Sales,
U.S.A., Inc.
8:10-cv-
00573
(formerly
2:10-cv-
00032)
KY E.D.
Ky.
Northern
(Covington)

26. Cullen and Linda Kirkpatrick, Individually and on
behalf of all others similarly situated,
v.
Toyota Motor North America Inc., a California
corporation; Toyota Motor Engineering &
Manufacturing North America, Inc., a Kentucky
corporation, Toyota Motor Sales U.S.A., Inc., a
California corporation, and Toyota Motor
Corporation, a Japanese corporation.

8:10-cv-
00776
(formerly
2:10-cv-
00994)
PA E.D. Pa. Philadelphia
Proposed
No. Full Case Name Civ. Action
No.
State District Division

27. Dale Karjala, individually and on behalf of all
others similarly situated,
v.
Toyota Motor Corporation, a foreign corporation,
and Toyota Motor Sales, USA, Inc., a California
corporation

8:10-cv-
00752
(formerly
0:10-cv-
00766)
MN D.
Minn.
n/a

28. Dale Roberts, on behalf of himself and all others
similarly situated,
v.
Toyota Motor Corporation, Toyota Motor Sales,
U.S.A., Inc., and does 1 through 10.

8:10-cv-
00622
(formerly
7:10-cv-
00281)
SC D.S.C. Spartanburg

29. Dana Clark Weller and Douglas W. Weller,
individually and on behalf of themselves and all
others similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc.

8:10-
cv000785
(formerly
2:10-cv-
00426)
WA W.D.
Wash.
Seattle

30. Daniel D. Lee, Carole R. Young, and Jean
Velliquette individually and on behalf of others
similarly situated
v.
Toyota Motor North America, Inc., a California
corporation; Toyota Motor Engineering &
Manufacturing North America, Inc., a Kentucky
corporation; Toyota Motor Manufacturing
Kentucky, Inc., a Kentucky corporation; Toyota
Motor Sales U.S.A., Inc., a California corporation;
New United Motor Manufacturing, Inc., a
California Joint Venture, and Toyota Motor
Corporation, a Japanese corporation.

8:10-cv-
00607
(formerly
3:10-cv-
00280)
OH N.D.
Ohio
Toledo

31. Daniel Weimer, Jr., Colby Wenck, and Ann
Cavalier, all individually and on behalf of all other
similarly situated Plaintiffs
v.
Toyota Motor North America, Inc.; Toyota Motor
Engineering & Manufacturing North America,
Inc.; and Toyota Motor Sales, U.S.A., Inc.

10-cv-00466
(formerly
2:10-cv-
00219)
LA E.D. La. New
Orleans
Proposed
No. Full Case Name Civ. Action
No.
State District Division

32. Darrell and Elizabeth Quintana, and Curtis Garrett
v.
Toyota Motor Corporation, a Japanese
Corporation, Toyota Motor Sales, USA, Inc.
8:10-cv-
00762
(formerly

1:10-cv-
00020)
MT D.
Mont.
Billings

33. Darshak Shah,
v.
Toyota Motor North America, Inc.; Toyota Motor
Sales, U.S.A., Inc.; and General Motors, LLC

8:10-cv-
00582
(formerly
1:10-cv-
10263)
MA D.
Mass.
Boston

34. David and Dorothy Gaspard,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., and Toyota Motor Corporation.

8:10-cv-
00581
(formerly
1:10-cv-
00179)
LA W.D.
La.
Alexandria

35. David Hulsen, Patrick Mann, and Tyson
Markham, on behalf of themselves and all others
similarly situated
v.
Toyota Motor Corporation and Toyota Motor
Sales, U.S.A., Inc.

8:10-cv-
00588
(formerly
4:10-cv-
00103)
MO W.D.
Mo.
Kansas City

36. David Rosenberg, individually and on behalf of all
others similarly situated,
v.
Toyota Motor Corporation, Toyota Motor Sales
U.S.A., Inc., And Doe Defendants 1 though 10.

8:10-cv-
00772
(formerly
2:10-cv-
01272)
NY E.D.N.Y
.
Central Islip

37. Deborah Baumkel, on behalf of herself and all
others situated,
v.
Toyota Motor North America, Inc., a foreign
corporation and Toyota Motor Sales, U.S.A., Inc.,
a foreign corporation.

8:10-cv-
00583
(formerly
2:10-cv-
10525)
MI E.D.
Mich.
Detroit
Proposed
No. Full Case Name Civ. Action
No.
State District Division

38. Debra and Ron Poynter, Tina and Fran Preedom,
Krystal Eggerding, Angela Boles, Laurie
Chambers, and Lucero and Mark Davidson,
v.
Toyota Motor North America Inc., a California
corporation; Toyota Motor Sales U.S.A., Inc., a
California corporation; Toyota Motor Corporation,
a Japanese corporation; Toyota Motor Engineering
& Manufacturing North America, Inc., a Kentucky
corporation; and Toyota Motor Manufacturing
Kentucky, Inc., a Kentucky corporation.

8:10-cv-
00571
(formerly
2:10-cv-
00021)
KY E.D.
Ky.
Northern
(Covington)

39. Deisy F. Toledo, individually and on behalf of all
others similarly situated,
v.
Toyota Motor Corporation, a Japanese
corporation; Toyota Motor North America Inc., a
California corporation; Toyota Motor Engineering
& Manufacturing North America, Inc., a Kentucky
corporation; Toyota Motor Sales U.S.A., Inc., a
California corporation, and Toyota Motor Credit
Corporation, a California corporation

8:10-cv-
00737
(formerly
1:10-cv-
01599)
IL N.D. Ill. Chicago

40. Diane Gumble, on behalf of herself and all others
similarly situated,
v.
Toyota Motor Corporation, Toyota Motor
Engineering & Manufacturing North America, Inc.
and Toyota Motor Sales U.S.A., Inc.

8:10-cv-
00617
(formerly
5:10-cv-
00521)
PA E.D. Pa. Allentown

41. Don Gureski and Carol Gureski,
v.
Toyota Motor North America, Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., and Toyota Motor Sales, U.S.A., Inc. -
DISMISSED

8:10-cv-
00626
(formerly
1:10-cv-
00031)
WY D. Wyo. Casper

42. Dot-Marie Gallardo-Browning, individually and as
representative of all similarly situated individuals,
v.
Toyota Motor North America, Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., Toyota Motor Sales, U.S.A., Inc., and Toyota
de Puerto Rico, Corp.

8:10-cv-
01003
(formerly
3:10-cv-
01390)
PR D.P.R. San Juan
Proposed
No. Full Case Name Civ. Action
No.
State District Division

43. Doug V. Goodwin,
v.
Toyota Motor Sales, U.S.A., Inc. - DISMSISSED
8:10-cv-
01136
(formerly
1:10-cv-
00514)
VA E.D. Va. Alexandria

44. Dru Colin Lee, individually, and on behalf of all
others similarly situated,
v.
Toyota Motor Sales U.S.A., Inc., Toyota Motor
North America, Inc., Toyota Motor
Manufacturing, Inc., and Toyota Motor
Engineering & Manufacturing North America, Inc.

8:10-cv-
00612
(formerly
5:10-cv-
00117)
OK W.D.
Okla.
Oklahoma
City

45. E. Brandon Bowron, Michael Lackey, and Terasita
Ramos
v.
Toyota Motor Sales, U.S.A., Inc.

8:10-cv 10-
00719
(formerly
2:10-cv-
00580)
AZ D. Ariz. Phoenix

46. Edward A. Siff, Merna M. Siff and Ricardo
Samper, individually and on behalf of all others
similarly situated,
v.
Toyota Motor North America, Inc.; Toyota Motor
Engineering & Manufacturing North America,
Inc.; and Toyota Motor Sales, U.S.A., Inc.
8:10-cv-
00725
(formerly
0:10-cv-
60379)
FL S.D.
Fla.
Ft.
Lauderdale

47. Edward Isao Funasaki, as an individual and on
behalf of all others similarly situated
v.
Toyota Motor Corporation and Toyota Motor
Sales, USA Inc.

8:10-cv-
00731
(formerly
1:10-cv-
00111)
HA D. Haw. Hawaii

48. Edward Klein, as an individual and on behalf of all
others similarly situated,
v.
Toyota Motor Corporation, a foreign corporation,
Toyota Motor Sales, USA, Inc., a California
corporation, and Earl Stewart Holdings, LLC, a
Florida corporation, d/b/a Earl Stewart Toyota,

8:10-cv-
01364
(formerly
9:10-cv-
80912)
FL S.D.
Fla.
West Palm
Beach
Proposed
No. Full Case Name Civ. Action
No.
State District Division

49. Edward Wojeck
v.
Toyota Motor North America, Inc., a foreign
corporation, and Toyota Motor Sales, U.S.A., Inc.,
a foreign corporation

8:10-cv-
00786
(formerly
2:10-cv-
00542)
WA W.D.
Wash.
Seattle

50. Elizabeth Seu, Individually and on behalf of all
other similarly situated
v.
Toyota Motor Corporation, a foreign corporation,
and Toyota Motor Sales, USA, Inc., a California
corporation

8:10-cv-
00787
(formerly
3:10-cv-
05176)
WA W.D.
Wash.
Tacoma

51. Francine Guokas, on behalf of herself and all
others similarly situated,
v.
Toyota Motor Corporation, Toyota Motor
Engineering & Manufacturing North America,
Inc., and Toyota Motor Sales, U.S.A., Inc.

8:10-cv-
00595
(formerly
3:10-cv-
00778)
NJ D.N.J. Trenton

52. Frank Whiddon, as an individual and on behalf of
all others similarly situated,
v.
Toyota Motor Corporation, a foreign corporation,
and Toyota Motor Sales, USA, Inc., a California
corporation

8:10-cv-
00623
(formerly
1:10-cv-
00080)
TX E.D.
Tex.
Beaumont

53. Fred Sander, individually and on behalf of all
others similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota North
America Inc., and Toyota Engineering &
Manufacturing North America, Inc.

8:10-cv-
00603
(formerly
1:10-cv-
01111)
NY S.D.N.Y
.
Foley
Square

54. Frederick Greisiger and Keith Sealing,
individually and on behalf of all persons similarly
situated,
v.
Toyota Motor North America, Inc., a foreign
corporation, Toyota Motor Sales, U.S.A., Inc., a
foreign corporation, and Toyota Motor
Corporation, a foreign corporation.

8:10-cv-
00619 (5:10-
cv-00554)
PA E.D. Pa. Allentown
Proposed
No. Full Case Name Civ. Action
No.
State District Division

55. G&M Motors,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., and Toyota Motor Corporation
8:10-cv-
01373
(formerly
1:10-cv-
01339)
OH N.D.
Ohio
Eastern
(Cleveland)

56. Galatia D. Johnson, Wanda M. Lee, and Cynthia
M. Parker
v.
Toyota Motor North America, Inc.; Toyota Motor
Engineering & Manufacturing North America,
Inc.; and Toyota Motor Sales, U.S.A., Inc.

8:10-cv-
00575
(formerly
2:10-cv-
00622)
LA E.D. La New
Orleans

57. Gary Gustin, Individually and on behalf of all
other similarly situated
v.
Toyota Motor Corporation, a foreign corporation
and Toyota Motor Sales, USA, Inc., a California
corporation

8:10-cv-
00734
(formerly
1:10-cv-
00114)
ID D. Idaho Boise-
Southern

58. Gary T. Brock
v.
Toyota Motor North America, Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., and Toyota Motor Sales, U.S.A., Inc.
8:10-cv-
00468
(formerly
2:10-cv-
00281)
LA E.D. La. New
Orleans

59. George C. Weyer, Devra Glassman, and Jason
Kaufmann, Individually and on behalf of all
persons similarly situated,
v.
Toyota Motor North America, Inc., a foreign
corporation and Toyota Motor Sales, U.S.A., Inc.,
a foreign corporation and Toyota Motor
Corporation, a foreign corporation

8:10-cv-
00753
(formerly
0:10-cv-
00801)
MN D.
Minn.
n/a
Proposed
No. Full Case Name Civ. Action
No.
State District Division

60. Georges Vincent, Jeffrey Vincent, Yonet Gardiner
& Gulaine Dorsainvil, Etienne Eva, Histha Henry,
Henri Gattereau, Serge Derival, Jean Isacc, Marie
Isaan, Merridieu Pollas, Saintil Petit Frere, Linda
Jean Charles, Lorma Victor, Jean Daniel Renois,
Vilsaint Georges, Elie Cezaire, Willy Saint
Hilaire, Ludger Charles, Germain Dazille,
Anthony M. Georges-Pierre, Anthony Georges-
Pierre, Marie Joelle Placide, Mario & Marie
Elisee, Elvire Paul, Orusmond Florestal, Enoc
Desroches, Aristin Joseph, Jeannie Menard,
Ghislaine Bernard,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Corporation, Toyota Motor North America, Inc.,
Toyota Motor Engineering & Manufacturing
North America, Inc., and Toyota Motor
Manufacturing Kentucky, Inc.

8:10-cv-
01363
(formerly
1:10-cv-
22785)
FL S.D.
Fla.
Miami

61. Grace Jackson and Marvin Jackson,
v.
Toyota Motor Sales U.S.A., Inc. - DISMISSED

8:11-00558
(formerly
2:10-cv-
01010)
OH S.D.
Ohio
Eastern

62. H.W. “Bud” Fanning, individually and on behalf
of all other Kansans similarly situated,
v.
Toyota Motor Corporation, a foreign corporation;
Toyota Motor North America, Inc., a foreign
corporation; Toyota Motor Sales, U.S.A., Inc., a
foreign corporation; and Toyota Motor
Engineering & Manufacturing North America,
Inc., a foreign corporation

8:10-cv-
00742
(formerly
6:10-cv-
01090)
KS D. Kan. Wichita

63. Helmick, et al.
v.
Toyota Motor Sales, USA, Inc., Toyota Motor
Corporation, Toyota Motor North America, Inc.,
Toyota Motor Engineering & Manufacturing
North America, Inc., Toyota Motor Manufacturing
Kentucky, Inc.

8:11-cv-
01136
(formerly
1:11-cv-
22492)
FL S.D.
Fla.
Miami
Proposed
No. Full Case Name Civ. Action
No.
State District Division

64. Hugh Cox and Pamela M. Cox and Ernestine
Montgomery and others similarly situated ,
v.
Beechmont Toyota, Inc., Clyde Dyson, Toyota
Lease Trust, Toyota Motor Engineering &
Manufacturing North America, Inc., and Toyota
Motor Sales, U.S.A., Inc.
8:10-cv-
00609
(formerly
2:10-cv-
00181)
OH S.D.
Ohio
Columbus

65. Humberto Rivas-Vigil, individually and on behalf
of all others similarly situated,
v.
Toyota Motor North America, Inc.; Toyota Motor
Engineering & Manufacturing North America,
Inc.; and Toyota Motor Sales, U.S.A., Inc.

8:10-cv-
00563
(formerly
0:10-cv-
60183)
FL S.D.
Fla.
Fort
Lauderdale

66. Ira Lee Dadisman, William r. Lawson and Virginia
Lawson , on behalf of themselves and all others
similarly situated,
v.
Toyota Motor Corporation and Toyota Motor
Sales, U.S.A., Inc.

8:10-cv-
00788
(formerly
2:10-cv-
00399)
WV S.D.W.
Va.
Charleston

67. James Michael Bell, Individually and on behalf of
all others similarly situated,
v.
Toyota Motors Sales, U.S.A., Inc.; Toyota Motor
Engineering & Manufacturing North America,
Inc.; and Toyota Motor Corporation

8:10-cv-
00755
(formerly
0:10-cv-
00944)
MN D.
Minn.
n/a

68. James P. Griffin, an individual consumer,
v.
Toyota Motor Company Corporation, a Japanese
Corporation, and Toyota Motor Sales, U.S.A., Inc.,
a corporation

8:10-cv-
00770
(formerly
1:10-cv-
00323)
NM D.N.M. Albuquerque

69. James R. Haustein,
v.
Toyota Motor Corporation, Toyota Motor Sales,
U.S.A., Inc., and Toyota Motor Engineering &
Manufacturing, North America, Inc.

8:10-cv-
00600
(formerly
5:10-cv-
00178)
NY N.D.N.
Y.
Syracuse
Proposed
No. Full Case Name Civ. Action
No.
State District Division

70. Jane Saint Drake, individually and on behalf of all
persons similarly situated, Paul V. Kilpatrick, III,
individually and on behalf of all persons similarly
situated,
v.
Toyota Motor Sales, U.S .A., Inc., a foreign
corporation, Toyota Motor North America, Inc., a
foreign corporation, Toyota Motor Corporation, a
foreign corporation

8:10-cv-
00730
(formerly
1:10-cv-
01231)
GA N.D.
Ga.
Atlanta

71. Janice Markowitz,
v.
Toyota Motor Sales, U.S.A., Inc.

8:10-cv-
01545
(formerly
2:10-cv-
00644)
PA W.D.
Pa.
Pittsburgh

72. Jasbir Grewal, on behalf of herself and all others
similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Corporation, and Does 1-10 - DISMISSED

8:10-cv-
00783
(formerly
5:10-cv-
00042)
TX E.D.
Tex.
Texarkana

73. Jay Brandt, individually and on behalf of all others
similarly situated,
v.
Toyota Motor Corporation and Toyota Motor
Sales U.S.A., Inc.

8:10-cv-
00784
(formerly
3:10-cv-
00788)
TX N.D.
Tex.
Dallas

74. Jennifer Lee Glardon, individually and on behalf
of all others similarly situated,
v.
Toyota Motor Engineering & Manufacturing
North America, Inc., Toyota Motor
Manufacturing, Kentucky, Inc., Toyota Motor
Sales, U.S.A., Inc., and Toyota Lease Trust

8:10-cv-
00656
(formerly
2:10-cv-
00179)
OH S.D.
Ohio
Columbus

75. Jennifer Wendy Burke, on behalf of herself and
all others similarly situated,
v.
Toyota Motor North America, Inc., Toyota
Motor Engineering & Manufacturing North
America, Inc., and Toyota Motor Sales, U.S.A.,
Inc.

8:10-cv-
00577
(formerly
2:10-cv-
00649)
LA E.D. La. New
Orleans
Proposed
No. Full Case Name Civ. Action
No.
State District Division
76. Jerry Baker Auto Sales, LLC, individually and on
behalf of others similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., and Toyota Motor Corporation
8:10-cv-
00587
(formerly

2:10-cv-
04025)
MO W.D.
Mo.
Central

77. Jim Heidenreich, individually and on behalf of all
persons similarly situated,
v.
Toyota Motor North America, Inc., a foreign
corporation, Toyota Motor Sales, U.S.A., Inc., a
foreign corporation, Toyota Motor Corporation, a
foreign corporation.

8:10-cv-
00561
(formerly
4:10-cv-
00035)
FL N.D.
Fla.
Tallahassee

78. Joel Grunkemeyer and Sharon Wilson and John
Sukola
v.
Toyota Motor Sales Inc., Toyota Motor Credit
Corporation, Toyota Motor Engineering and
Manufacturing North America Inc., and Kings
Toyota Inc.

8:10-cv-
00608
(formerly
1:10-cv-
00128)
OH S.D.
Ohio
Cincinnati

79. John Harding, individually and on behalf of all
others similarly situated,
v.
Toyota Motor Corporation, a foreign corporation,
and Toyota Motor Sales, U.S.A., Inc., a California
corporation.

8:10-cv-
00552
(formerly
2:10-cv-
00100)
AL M.D.
Ala.
Montgomery

80. John Jeremy Robson, as an individual and on
behalf of all others similarly situated,
v.
Toyota Motor Corporation and Toyota Motor
Sales, USA Inc.1
DISMISSED

8:10-cv-
00551
(formerly
3:10-cv-
00037)
AK D.
Alaska
Anchorage

1 Formerly stylized as Everet S. Worthington , as an individual and on behalf of all others similarly situated, v.
Toyota Motor Corp. and Toyota Motor Sales, USA, Inc.
Proposed
- 16 -
No. Full Case Name Civ. Action
No.
State District Division

81. Jon J. Darcy and Regina H. Darcy on behalf of
themselves and the putative class,
v.
Toyota Motor North America Inc., Toyota Motor
Sales U.S.A., Inc., Toyota Motor Corporation and
Toyota Financial Services Corporation,

8:10-cv-
00769
(formerly
3:10-cv-
02032)
NJ D.N.J. Trenton

82. Jonathan Gellman, an individual, on behalf of
himself and all others similarly situated,
v.
Toyota Motor Sales, USA, Inc., a California
corporation

10-cv-00465
(formerly
1:10-cv-
20006)
FL S.D.
Fla.
Miami

83. Joseph B. Tiboni, on behalf of himself and all
others similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc. and John Does 1-
10.
8:10-cv-
00768
(formerly
3:10-cv-
01786)
NJ D.N.J. Trenton

84. Joseph Buccier,
v.
Toyota Motor Sales U.S.A., Inc.

8:10-cv-
01372
(formerly
1:10-cv-
01251)
OH N.D.
Ohio
Northern
(Cleveland)

85. Joseph R. Hernandez, individually and on
behalf of all others similarly situated,
v.
Hino Motors Manufacturing U.S.A. Inc., Hino
Motors Sales U.S.A. Inc., Hino Motors, Ltd.,
Toyota Motor North America Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., Toyota Motor Sales U.S.A., Inc., and Toyota
Motor Corporation

8:10-cv-
00584
(formerly
2:10-cv-
10835)
MI E.D.
Mich.
Detroit

86. Joseph Schantz and Edith Schantz, Individually,
and on behalf of all persons similarly situated,
v.
Toyota Motor North America, Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., and Toyota Motor Sales, U.S.A., Inc.

8:10-cv-
00751
(formerly
8:10-cv-
01075)
MD D. Md. Greenbelt
Proposed
No. Full Case Name Civ. Action
No.
State District Division

87. Joyce Ann Atnip, Lesley Scillian and Jonathan
Scillian, individually and on behalf of all others
similarly situated
v.
Toyota Motor Corporation; Toyota Motor North
America, Inc.; Toyota Motor Sales, USA, Inc.

8:10-cv-
00781
(formerly
3:10-cv-
00387)
TN M.D.
Tenn.
Nashville

88. Judith M. Enderle, on behalf of herself all others
similarly situated
v.
Toyota Motor North America, Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., and Toyota Motor Sales, U.S.A., Inc.

8:10-cv-
00568
(formerly
1:10-cv-
00142)
IN S.D.
Ind.
Indianapolis

89. Julie Beard, Sean Beard, Jody Weigel, Michael
Riley and Deanna Riley,
v.
Toyota Motor Corporation and Toyota Motor
Sales, U.S.A., Inc.

8:10-cv-
00732
(formerly
3:10-cv-
00033)
IA S.D.
Iowa
Davenport

90. Julie Rainwater, individually and on behalf of all
others similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc., a California
corporation

8:10-cv-
00554
(formerly
4:10-cv-
00116)
AR E.D.
Ark.
Western

91. Justin Johnson, on behalf of himself and all others
similarly situated,
v.
Toyota Motor Corporation and Toyota Motor
Sales U.S.A., Inc. - DISMISSED

8:10-cv-
00562
(formerly
5:10-cv-
00026)
FL N.D.
Fla.
Panama City

92. Kevin P. Fogarty, Barbara Jackson, and Alex
Farrugia, individually and on behalf of all others
similarly situated
v.
Toyota Motor North America, Inc. a California
corporation; Toyota Motor Engineering &
Manufacturing North America, Inc., a Kentucky
corporation, Toyota Motor Sales U.S.A., Inc., a
California corporation, and Toyota Motor
Corporation, a Japanese corporation

8:10-cv-
00598
(formerly
1:10-cv-
00542)
NY E.D.N.Y Brooklyn
Proposed
No. Full Case Name Civ. Action
No.
State District Division

93. Kevin Young and Debra Young,
v.
Toyota Motor Corporation and Toyota Motor
Sales, U.S.A., Inc.

8:10-cv-
01095
(formerly
3:10-cv-
00450)
TN M.D.
Tenn.
Nashville

94. LaRocca's Auto Sales, Inc.
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., and Toyota Motor Corporation.

8:10-cv-
00746
(formerly
2:10-cv-
00893)
LA E.D. La. New
Orleans

95. Larry and Carolyn Boudoin,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., and Toyota Motor Corporation.

8:10-cv-
00747
(formerly
1:10-cv-
00421)
LA W.D.
La.
Alexandria

96. Laurence K. Johnston,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., Toyota Motor Corporation - DISMISSED

8:10-cv-
00585
(formerly
0:10-cv-
00759)
MN D.
Minn.
n/a

97. Lena Gally, and Christine Carr, individually and
on behalf of all others similarly situated,
v.
Toyota Motor Corporation d/b/a Toyota Motor
North America, Inc., Toyota Motor Sales, U.S.A.,
Inc., Toyota Motor Engineering & Manufacturing
North America, Inc., f/k/a Toyota Motor
Manufacturing North America, Inc., and f/k/a
Toyota Technical Center, U.S.A., Toyota Financial
Services Americas Corp.

8:10-cv-
00655
(formerly
1:10-cv-
00854)
NY E.D.N.Y
.
Brooklyn
Proposed

No. Full Case Name Civ. Action
No.
State District Division

98. Linda Alford Wooten,
v.
Toyota Motor North America Inc., a California
corporation; Toyota Motor Engineering &
Manufacturing North America, Inc., a Kentucky
corporation; Toyota Motor Manufacturing
Kentucky, Inc., a Kentucky corporation; Toyota
Motor Sales U.S.A., Inc., a California corporation;
Toyota Motor Corporation, a Japanese
corporation; and Denso Manufacturing Tennessee,
Inc., a Tennessee corporation

8:10-cv-
00621
(formerly
3:10-cv-
00229)
SC D.S.C. Columbia

99. Louis Pera, Jr., and all those similarly situated,
v.
Toyota Motor Corporation, and Toyota Motor
Sales, USA, Inc.

8:10-cv-
00782
(formerly
2:10-cv-
02153)
TN W.D.
Tenn.
Memphis

100. Louise Gordon, Michael Dube, and Diane
Schlosberg, individually and on Behalf of all
others similarly situated,
v.
Toyota Motor North America Inc., a California
corporation; Toyota Motor Engineering &
Manufacturing North America, Inc., a Kentucky
corporation, Toyota Motor Sales U.S.A., Inc., a
California corporation, and Toyota Motor
Corporation, a Japanese corporation.

8:10-cv-
00596
(formerly
3:10-cv-
00914)
NJ D.N.J. Trenton

101. Lucy Miller, Individually, and on behalf of all
persons similarly situated,
v.
Toyota Motor North America, Inc., a California
corporation, Toyota Motor Engineering &
Manufacturing North America, Inc., a Kentucky
corporation, and Toyota Motor Sales, U.S.A., Inc.,
a California corporation - DISMISSED

8:10-cv-
00724
(formerly
1:10-cv-
00657)
DC D.D.C. Washington

102. Margaret Gonzalez, on her own behalf and on
behalf of all others similarly situated
v.
Toyota Motor Sales, U.S.A., Inc.; Toyota Motor
North America, Inc.; and Toyota Motor
Engineering & Manufacturing North America, Inc.

8:10-cv-
00592
(formerly
3:10-cv-
00595)
NJ D.N.J. Trenton
Proposed
No. Full Case Name Civ. Action
No.
State District Division

103. Marie DuBois, individually, and on behalf of all
persons similarly situated,
v.
Toyota Motor North America, Inc., a foreign
corporation, Toyota Motor Sales, U.S.A., Inc., a
foreign corporation, Toyota Motor Corporation, a
foreign corporation

8:10-cv-
01312
(formerly
1:10-cv-
00779)
NY E.D.N.Y
.
Brooklyn
104. Marie Martin
v.
Toyota Motor Corporation, Toyota Motor North
America, Inc., and Toyota Motor Sales, U.S.A.,
Inc.

8:11-cv-
01503
(formerly
1:11-cv-
04876)
NY S.D.N.Y
.
Foley
Square

105. Mark Adkison, individually and on behalf of all
others similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc.

8:10-cv-
00556
(formerly
6:10-cv-
06013)
AR W.D.
Ark.
Hot Springs

106. Mark Fraase, individually and on behalf of all
others similarly situated,
v.
Toyota Motor Corporation, a foreign corporation,
and Toyota Motor Sales, USA, Inc., a California
corporation

8:10-cv-
00765
(formerly
3:10-cv-
00016)
ND D.N.D. Southeastern

107. Mary Ferrara, individually, and on behalf of those
similarly situated
v.
Toyota Motor Sales, USA, Inc., Toyota Motor
Corporation

8:10-cv-
00750
(formerly
1:10-cv-
10381)
MA D.
Mass.
Boston

108. Mary O'Rourke, Jim O’Rourke, Kristina Beale,
Jeremy Beale, Kai Shemsu, Laura Green, Aaron
Green,
vs.
Toyota Motor Sales, U.S.A., Inc.

8:10-cv-
01544
(formerly
3:10-cv-
00124)
OH S.D.
Ohio
Dayton

109. Mary Pat Hauck, on behalf of herself and all others
similarly situated,
v.
Toyota Motor Corporation, Toyota Engineering &
Manufacturing North America, Inc., and Toyota
Motor Sales, U.S.A., Inc.

8:10-cv-
00757
(formerly
0:10-cv-
01924)
MN D.
Minn.
n/a
Proposed
No. Full Case Name Civ. Action
No.
State District Division

110. Mary Patricia Ryan, as an individual and on behalf
of all others similarly situated,
v.
Morse Operations, Inc., a Florida corporation,
d/b/a Ed Morse Delray Toyota

8:10-cv-
01365
(formerly
9:10-cv-
80929)
FL S.D.
Fla.
West Palm
Beach

111. Maureen Colaberdino, on behalf of herself and all
others similarly situated,
v.
Toyota Motor North America, Inc., Toyota Motor
Sales, U.S.A., Inc., and Toyota Motor Corporation

8:10-cv-
00593
(formerly
3:10-cv-
00672)
NJ D.N.J. Trenton

112. Micah Maryn, on behalf of himself and all others
similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., and Toyota Motor Manufacturing, Kentucky,
Inc.

8:10-cv-
00574
(formerly
2:10-cv-
00046)
KY E.D.
Ky.
Covington

113. Michael & Cathy Miller, Steve Clemons, Sonya
Gray, Wayne & Betty Tomlin, Patrick
Kwiatkowski, Edward & Joan Skillman, and
Melissa Arnzen Moeddel, individually and on
behalf of others similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Corporation, Toyota Motor Engineering &
Manufacturing North America, Inc., Toyota Motor
Manufacturing, Kentucky, Inc., and Toyota Motor
Manufacturing, Northern Kentucky, Inc.

8:10-cv-
00572
(formerly
2:10-cv-
00031)
KY E.D.
Ky.
Northern
(Covington)

114. Michael Graves and Michael C. Graves, and Jeff
Mullins, individually, and on behalf of all others
similarly situated,
v.
Toyota Motor Manufacturing, West Virginia, Inc.,
a West Virginia Corporation; Toyota Motor North
America, Inc., a California corporation; Toyota
Motor Engineering & Manufacturing North
America, Inc., a Kentucky corporation; Toyota
Motor Sales U.S.A., Inc., a California corporation;
and Toyota Motor Corporation, a Japanese
corporation.

8:10-cv-
00469
(formerly
2:09-cv-
01247)
WV S.D.W.
Va.
Charleston
Proposed
No. Full Case Name Civ. Action
No.
State District Division

115. Michael Matsis, Kishin Khilnani, Jo Ann
Parochetti, Carole Fisher, Sasha Nizgoda, Anthony
Crespo, and Gary Ratliff,
V.
Toyota Motor Corporation, Toyota Motor North
America, Inc., Toyota Motor Sales, U.S.A., Inc.,
Toyota Motor Engineering & Manufacturing
North America, Inc., Findlay Automotive Of
Nevada, LLC, d/b/a Findlay Toyota and Scion, T.
West Sales & Service, Inc. d/b/a Desert Toyota,
Scion of Las Vegas, GK Nevada LLC, d/b/a
Centennial Toyota & Scion, Fletcher Jones East
Sahara, Ltd., LLC, d/b/a Fletcher Jones
Toyota/Scion, and AAG-Las Vegas, LLC, d/b/a
Lexus of Las Vegas

8:10-cv-
01380
(formerly
2:10-cv-
01076)
NV D. Nev. Las Vegas
116. Michael Roberge,
v.
Toyota Motor Sales USA, Inc.

8:10-cv-
01769
(formerly
1:10-cv-
11158)
MA D.
Mass.
Boston

117. Michael Tomaszewski,
v.
Toyota Motor Sales, USA, Inc. - DISMISSED

8:10-cv-
01833
(formerly
3:10-cv-
01019)
CA S.D.
Cal.
San Diego
118. Michael Yastrab, on behalf of himself and all other
similarly situated individuals,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., Toyota Motor Corporation - DISMISSED

8:10-cv-
00771
(formerly
1:10-cv-
01334)
NY E.D.N.Y
.
Brooklyn

119. Michelle Lynch on behalf of herself and all others
similarly situated,
v.
Toyota Motor Corporation and Toyota Motor
Sales U.S.A., Inc.

8:10-cv-
00464
(formerly
8:10-cv-
00326)
FL M.D.
Fla.
Tampa
Proposed
No. Full Case Name Civ. Action
No.
State District Division

120. Millie Charlottie Hartgrove
v.
Toyota Motor Corporation, Toyota Motor Sales,
USA. Inc, Toyota Motor North America, Inc., and
Toyota Motor Engineering and Manufacturing
North America, Inc.

8:10-cv-
00779
(formerly
3:10-cv-
00101)
TN E.D.
Tenn.
Knoxville

121. Mindy A. Corrigan and Dennis J. Waugh, On
behalf of themselves and all other similarly
situated individuals,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., Toyota Motor Corporation - DISMISSED

8:10-cv-
00778
(formerly
1:10-cv-
00138)
RI D.R.I. Providence

122. Mitchell P. Gedid
v.
Toyota Motor Corporation, a foreign corporation,
and Toyota Motor Sales, U.S.A., Inc., a California
corporation, and Toyota motor Engineering &
Manufacturing North America, Inc., a Kentucky
corporation

8:10-cv-
00777
(formerly
2:10-cv-
00407)
PA W.D. Pa Pittsburgh

123. Nimishabahen Patel, individually, and on behalf of
all persons similarly situated, Besmir Zako,
individually, and on behalf of all persons similarly
situated, Dzemal Zako, individually, and on behalf
of all persons similarly situated,
v.
Toyota Motor North America, Inc., a foreign
corporation, Toyota Motor Sales, U.S.A., Inc., a
foreign corporation, and Toyota Motor
Corporation, a foreign corporation.

8:10-cv-
00558
(formerly
3:10-cv-
00210)
CT D.
Conn.
New Haven

124. Pamela Frederickson
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., and Toyota Motor Corporation.

8:10-cv-
00745
(formerly
2:10-cv-
00892)
LA E.D. La. New
Orleans
Proposed
No. Full Case Name Civ. Action
No.
State District Division
125. Patricia Grier
v.
Toyota Motor Sales, U.S.A., Inc.

8:10-cv-
00764
(formerly
3:10-cv-
00176)
NC W.D.N.
C.
Charlotte

126. Peter Phaneuf, on his own behalf and on behalf of
all others similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc.; Toyota Motor
North America, Inc.; and Toyota Motor
Engineering & Manufacturing North America, Inc.

8:10-cv-
00599
(formerly
2:10-cv-
00487)
NY E.D.N.Y
.
Central Islip

127. Ramon Ojeda Rivera, Sheydalis Casul De Jesus,
and Ada Roldan Soto, et al., on behalf of
themselves and all others similarly situated,
v.
Toyota Motor North America, Inc.; Toyota Motor
Engineering & Manufacturing North America,
Inc.; Toyota Motor Sales, U.S.A., Inc. and Toyota
De Puerto Rico, Corporation.

8:10-cv-
01920
(formerly
3:10-cv-
02053)
PR D.P.R. San Juan

128. Rebecca S. Shumaker
v.
Toyota Motor Engineering & Manufacturing
North America, Inc., Toyota Motor Sales, U.S.A.,
Inc., and Toyota Motor Corporation

8:10-cv-
00611
(formerly
3:10-cv-
00061)
OH S.D.
Ohio
Western
(Dayton)

129. Rena Ridenour,
v.
Toyota Motor Sales, U.S.A., Inc., a California
corporation, Toyota Motor Engineering &
Manufacturing North America, Inc., Toyota Motor
Corporation

8:10-cv-
00760
(formerly
4:10-cv-
00365)
MO E.D.
Mo.
St. Louis

130. Renita Cipriani, as an individual and on behalf of
all others similarly situated,
v.
Toyota Motor Corporation, a foreign corporation,
and Toyota Motor Sales, U.S.A., Inc., a California
Corp.

8:10-cv-
00559
(formerly
8:10-cv-
00427)
FL M.D.
Fla.
Tampa
Proposed
No. Full Case Name Civ. Action
No.
State District Division

131. Richard Immerman, individually and on behalf of
all others similarly situated,
v.
Toyota Motor North America, Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., and Toyota Motor Sales, U.S.A., Inc.

8:10-cv-
00773
(formerly
1:10-cv-
00650)
OH N.D.
Ohio
Cleveland

132. Robert O’Leary and Jennifer Porter, individually
and on behalf of all others similarly situated,
v.
Toyota Motor Sales, USA, Inc., a California
corporation

8:10-cv-
00759
(formerly
4:10-cv-
00350)
MO E.D.
Mo.
St. Louis

133. Robert Ruf,
v.
Toyota Motor Sales, U.S.A., Inc.- DISMISSED

8:10-cv-
00756
(formerly
0:10-cv-
01694)
MN D.
Minn.
n/a

134. Robert Smyser, individually and on behalf of all
others similarly situated,
v.
Toyota Motor Corporation; Toyota Motor Sales,
U.S.A., Inc.; ABC Corporations 1-50; and XYZ
Partnerships 1-50

8:10-cv-
00720
(formerly
2:10-cv-
00741)
AZ D. Ariz. Phoenix

135. Robyn Horn, class representative, on behalf of
herself and all others similarly situated,
v.
Toyota Motor Sales U.S.A., Inc., a California
corporation, Toyota Motor Engineering &
Manufacturing, North America, Inc., a foreign
corporation, Toyota Motor Corporation, a foreign
corporation, and Does 1-10.

8:10-cv-
00553
(formerly
4:10-cv-
00090)
AR E.D.
Ark.
Little Rock
Proposed
No. Full Case Name Civ. Action
No.
State District Division

136. Ronald Fahey, Individually and on behalf of all
others similarly situated,
v.
Toyota Motor Corporation, a foreign corporation,
and Toyota Motor Sales, USA, Inc., a California
corporation

8:10-cv-
00615
(formerly
3:10-cv-
00297)
OR D. Or. Portland

137. Ronald Walls, on behalf of himself and all others
similarly situated,
v.
Toyota Motor Corporation, Toyota Motor Sales,
U.S.A., Inc. and Toyota Motor Engineering &
Manufacturing North America, Inc.
8:10-cv-
00740
(formerly
3:10-cv-
00215)
IL S.D. Ill. East St.
Louis

138. Rosalina Diaz, Individually and on behalf of all
others similarly situated,
v.
Toyota Motor Corporation, a Japanese
corporation; Toyota Motor North America., Inc., a
California corporation; Toyota Motor Engineering
& Manufacturing North America, Inc., a Kentucky
Corporation, Toyota Motor Sales U.S.A., Inc., a
California corporation, and Toyota Motor Credit
Corporation, a California corporation and John
Does 1-10

8:10-cv-
00738
(formerly
1:10-cv-
01931)
IL N.D. Ill. Chicago

139. Roshawn Donahue, individually and on behalf of
all other similarly situated Plaintiffs,
v.
Toyota Motor North America, Inc., Toyota Motor
Engineering & Manufacturing, North America,
Inc., and Toyota Motor Sales, U.S.A., Inc.

8:10-cv-
00579
(formerly
3:10-cv-
00108)
LA M.D.
La.
Baton
Rouge

140. Roy Nelson
v.
Toyota Motor North America, Inc.; Toyota Motor
Engineering & Manufacturing North America,
Inc.; and Toyota Motor Sales, U.S.A., Inc. -
DISMISSED

8:10-cv-
00597
(formerly
1:10-cv-
00161)
NM D.N.M. Albuquerque
Proposed
- 27 -
No. Full Case Name Civ. Action
No.
State District Division

141. Ruth Shechter, Aaron Austin, Rhea Rodgers
Individually, and on behalf of All others similarly
situated,
v.
Toyota Motor Engineering & Manufacturing
North America, Inc., Toyota Motor Sales, U.S.A.,
Inc., Toyota Motor North America, Inc., and
Toyota Motor Corporation

8:10-cv-
00741
(formerly
2:10-cv-
02144)
KS D. Kan. Kansas City

142. Ryan Scharrel, Susan Kruschke, and Enrique
Moreno,
v.
Toyota Motor North America, Inc, a California
corporation, Toyota Motor Engineering &
Manufacturing North America, Inc., a Kentucky
corporation, and Toyota Motor Sales, U.S.A., Inc.,
a California corporation - DISMISSED

8:10-cv-
00557
(formerly
1:10-cv-
00227)
CO D. Colo. Denver

143. S. Firgon, on behalf of himself and all others
similarly situated,
v.
Toyota Motor Corporation, Toyota Motor Sales,
U.S.A., Inc., Toyota Motor Engineering &
Manufacturing North America, Inc., and Toyota
Motor North America, Inc.

8:10-cv-
00570
(formerly
2:10-cv-
02075)
KS D. Kan. Kansas City

144. Selena M. Hines- Muhammad, on behalf of herself
and all other similarly situated individuals,
v.
Toyota Motor Sales U.S.A., Inc., Toyota Motor
Engineering & Manufacturing North America, and
Toyota Motor Corporation - DISMISSED

8:10-cv-
00763
(formerly
3:10-cv-
00135)
NC W.D.N.
C.
Charlotte
Proposed
No. Full Case Name Civ. Action
No.
State District Division

145. Sharlene Cohen-Goldberger, Tiffany Jones,
Thelma Reid, Jerry A. Borbon, Paul Rosenfeld and
Maxine Rosenfeld, Miguel E. Cordero, Stuart
Plush, Omar Alexander Montes, Karen F. Ruiz and
Jose E. Novoa, Cindy L. Bencsik and Jeanne
Epstein, Donna B. Bellony and Ned Sachs,
individually and on behalf of themselves and other
similarly situated Plaintiffs,
v.
Toyota Motor Sales, U.S.A., Inc.; Toyota Motor
Corporation; Toyota Motor North America, Inc.;
Toyota Motor Engineering & Manufacturing
North America, Inc.; and Toyota Motor
Manufacturing Kentucky, Inc.

8:10-cv-
00727
(formerly
1:10-cv-
20648)
FL S.D.
Fla.
Miami

146. Shawnee W. Scharer,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Corporation, and does 1-50, inclusive

8:10-cv-
00721
(formerly
3:10-cv-
00648)
CA S.D.
Cal.
San Diego

147. Solomon Harbor
v.
Toyota Motor Sales, U.S.A., Inc., CTS
Corporation, Akio Toyoda, and Joseph Airport
Toyota Scion

8:10-cv-
00775
(formerly
3:10-cv-
00144)
OH S.D.
Ohio
Western
(Dayton)

148. Steven Boughner, on behalf of himself and all
others similarly situated,
v.
Toyota Motor Engineering & Manufacturing
North America, Inc., Toyota Motor Manufacturing
Kentucky, Inc., Toyota Motor Sales, U.S.A., Inc.,
and Toyota Lease Trust.

8:10-cv-
00801
(formerly
2:10-cv-
01361)
NY E.D.N.Y
.
Central Islip

149. Susan Rifken Ltd., Individually and On behalf of
others similarly situated
v.
Toyota Motor North America Inc., a California
Corporation; Toyota Motor Sales U.S.A., Inc., a
California Corporation; and Toyota Motor
Corporation, a Japanese Corporation

8:10-cv-
00739
(formerly
1:10-cv-
02507)
IL N.D. Ill. Chicago
Proposed
No. Full Case Name Civ. Action
No.
State District Division

150. Suzzane McCoy, individually and on behalf of
herself and all others similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc.

8:10-cv-
00614
(formerly
3:10-cv-
00294)
OR D. Or. Portland

151. Sylvia Pena and Albert A. Pena, III, as individuals
and on behalf of themselves and all others
similarly situated,
v.
Toyota Motor Corporation and Toyota Motor
Sales, U.S.A., Inc.

8:10-cv-
00625
(formerly
2:10-cv-
00037)
TX S.D.
Tex.
Corpus
Christi

152. Ted M. Wedul,
v.
Toyota Motor Sales, U.S.A., Inc.; Toyota Motor
Engineering & Manufacturing North America,
Inc.; and Toyota Motor Corporation

8:10-cv-
00754
(formerly
0:10-cv-
00943)
MN D.
Minn.
n/a
153. Thomas Davis, on behalf of himself and all other
similarly situated individuals,
v.
Toyota Motor Sales, U.S.A., Inc., and Toyota
Motor Corporation
8:10-cv-
00601
(formerly
1:10-cv-
00900)
NY S.D.N.Y
.
Foley
Square

154. Timothy John Vanagas, individually and on behalf
of himself and all others similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc.

8:10-cv-
00613
(formerly
3:10-cv-
00293)
OR D. Or. Portland

155. Timothy P. Farrelly and Suzette L. Farrelly, on
behalf of themselves
and all others similarly situated,
v.
Toyota Motor North America, Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., and Toyota Motor Sales, U.S.A., Inc.

8:10-cv-
00576
(formerly
2:10-cv-
00647)
LA E.D. La. New
Orleans
Proposed
No. Full Case Name Civ. Action
No.
State District Division

156. Timothy S. Helmick and Maria Helmick,
Individually and on behalf of themselves and other
similarly situated Plaintiffs,
v.
Toyota Motor Sales, U S A , Inc.; Toyota Motor
Corporation; Toyota Motor North America, Inc.;
Toyota Motor Engineering & Manufacturing
North America, Inc.; and Toyota Motor
Manufacturing Kentucky, Inc.

8:10-cv-
00728
(formerly
1:10-cv-
20960)
FL S.D.
Fla.
Miami

157. Tom Kunce, on behalf of himself and all others
similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc., and John Does

1-10
8:10-cv-
00774
(formerly
1:10-cv-
00165)
OH S.D.
Ohio
Cincinnati

158. Troy Menssen, on behalf of himself and all other
similarly situated individuals
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., and Toyota Motor Corporation

8:10-cv-
00606
(formerly
1:10-cv-
00260)
OH N.D.
Ohio
Cleveland

159. Viviane Stoller and Gary Lemay, individually and
on behalf of a class of similarly situated citizens in
Georgia,
v.
Toyota Motor Corporation, a foreign corporation,
and Toyota Motor Sales, USA, Inc., a California
corporation.

8:10-cv-
00565
(formerly
4:10-cv-
00024)
GA M.D.
Ga.
Columbus

160. Wayne S. Harris,
v.
Toyota Motor Sales, U.S.A., Inc.

8:10-cv-
00722
(formerly
1:10-cv-
00460)
CO D. Colo. Denver
Proposed
No. Full Case Name Civ. Action
No.
State District Division

161. Wayne Schlegel and Emily Smith, on behalf of
themselves and all other similarly situated Georgia
consumers,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., Toyota Motor Corporation, and Toyota Lease
Trust.

8:10-cv-
00729
(formerly
1:10-cv-
00694)
GA N.D.
Ga.
Atlanta

162. Willette Riley,
v.
Toyota Motor Sales, U.S.A., Inc.

8:11-cv-
00774
(formerly
5:10-cv-
01745)
OH N.D.
Ohio
Akron
(Eastern)

163. Wilma Lentz, individually and on behalf of other
similarly interested
v.
Toyota Industries North America Inc., Toyota
Motor Sales, USA, Inc., a California Corporation,
Toyota Motor Corporation, Foreign Corporation,
& Toyota Industries Corporation, Foreign
Corporation

8:10-cv-
00555
(formerly
4:10-cv-
00149)
AR E.D.
Ark.
Little Rock

164. Zahira Crespo Bithorn and Milagros Rodriguez
Cruz et al., on behalf of themselves and all others
similarly situated,
v.
Toyota Motor North America, Inc.; Toyota Motor
Engineering & Manufacturing North America,
Inc.; Toyota Motor Sales, U.S.A., Inc. and Toyota
De Puerto Rico, Corporation.

8:10-cv-
00620
(formerly
3:10-cv-
01083)
PR D.P.R. San Juan

165. Seong Bae Choi, Chris Chan Park, Sandra Reech,
Donald Pritchett, Un Jin Choi and Mark Ann
Parker, as individuals, and on behalf of themselves
and all others similarly situated,
v.
Toyota Motor Corporation and Toyota Motor
Sales, U.S.A., inc.
2:09-cv-
08143
CA C.D. Los Angeles

166. Eric Kmetz and Joe Morris, on behalf of
themselves and all others similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc., and Toyota
Motor Corporation

2:09-cv-
08478
CA C.D. Los Angeles
Proposed
No. Full Case Name Civ. Action
No.
State District Division

167. Dale Baldisseri, on behalf of himself and all others
similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc.; Toyota Motor
North America, Inc.; Toyota Motor
Manufacturing, California, Inc.; and Toyota Motor
Enringeering & Manufacturing North America,
Inc.

2:09-cv-9386 CA C.D. Los Angeles

168. Heather Lane, individually and on behalf of all
others similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc., a California
corporation

2:09-cv-
09158
CA C.D. Los Angeles

169. Joseph Hauter and Frank Palomares, on behalf of
themselves and all others similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc., and Toyota
Motor Corporation

8:10-cv-
00105
CA C.D. Los Angeles

170. Adilia Aviles, on behalf of hermself and all others
similarly situated,
v.
Toyota Motor Corporation and Toyota Motor
Sales, U.S.A., Inc.

2:10-cv-
00706
CA C.D. Los Angeles

171. Roz Schwartz, on behalf of herself and all others
similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc., and Toyota
Motor Corporation

2:10-cv-
00710
CA C.D. Los Angeles

172. Matthew Marr, Luis Fernandez, Sylvia Fernandez,
Individually and on Behalf of all Others Similarly
Situated,
v.
Toyota Motor Sales, U.S.A., Inc., and Toyota
Motor Corp.

2:10-cv-
00799
CA C.D. Los Angeles
Proposed
No. Full Case Name Civ. Action
No.
State District Division

173. Ani Gazaryan, an individual; Svetlana Abajyan, an
individual; Elza Dzhivalegyan, an individual;
Tamara Harutyunyan, an individual; Nerses
MazManyan, an individual; Larine Mazmanyan,
an individual; Hrayr Okkasian, an individual;
Christine Aznavour, an individual; Akop
Galadzhyan, an individual; Plaintiffs, on Behalf of
the Themselves and All Others Similarly Situated
as Well as on Behalf of the General Public and
Acting in the Public Interest,
v.
Toyota Motor Sales, U.S.A., Inc., a California
corporation; Toyota Motor Engineering &
Manufacturing North America, Inc., a foreign
corporation; Toyota Motor Corporation, a foreign
corporation

2:10-cv-
00849
CA C.D. Los Angeles

174. Elaine Byrnes, Individually and on Behalf of all
Others Similarly Situated,
v.
Toyota Motor North America, Inc., a California
corporation; Toyota Motor Enginering &
Manufacturing North America, Inc., a Kentucky
corporation; Toyota Motor Sales, U.S.A., Inc., a
California corporation; Toyota Motor Corporation,
a Japanese corporation

2:10-cv-
00947
CA C.D. Los Angeles

175. Peter Wisner, , Individually and on Behalf of all
Others Similarly Situated,
v.
Toyota Motor Corporation, Toyota Motor Sales,
U.S.A., Inc.
2:10-cv-
00942
CA C.D. Los Angeles

176. Nellie Yazitchyan, Bertram Srourian and Aza
Srourian, on Behalf of the Themselves and All
Others Similarly Situated as Well as on Behalf of
the California Class,
v.
Toyota Motor Sales, U.S.A., Inc., a California
corporation, Toyota Motor Engineering &
Manufacturing North America, Inc.

2:10-cv-
01822
CA C.D. Los Angeles
Proposed
No. Full Case Name Civ. Action
No.
State District Division

177. Walter McKinney and Frankie McKinney, Elen
Edilyan, on Behalf of the Themselves and All
Others Similarly Situated as Well as on Behalf of
the California Class,
v.
Toyota Motor Sales, U.S.A., Inc., a California
corporation, Toyota Motor Engineering &
Manufacturing North America, Inc.

2:10-cv-
01825
CA C.D. Los Angeles
178. Lacey Laudicina and Kevin Funez, individually
and on behalf of all other similarly situated,
v.
Toyota Motor Corporation and Toyota Motor
Sales, U.S.A., Inc,

2:10-cv-
01030
CA C.D. Los Angeles

179. T. Leigh Beard, Catherine Nguyen and Malina
Salvador, in their individual capacities, and on
behalf of all others similarly situated,
v.
Toyota Motor Corporation; Toyota Motor North
America, Inc.; Toyota Motor Engineering &
Manufacturing North America, Inc.; Toyota Motor
Sales, U.S.A., Inc.

8:10-cv-
00183
CA C.D. Los Angeles

180. Max L. Lieberman, and Phyllis C. Lieberman, ,
individually and on behalf of all other similarly
situated,
v.
Toyota Motor Corporation and Toyota Motor
Sales, U.S.A., Inc.

2:10-cv-
01073
CA C.D. Los Angeles
181. Rhonda Talbot, on behalf of herself and her monir
child, A.V., and all other similarly situated,
v.
Toyota Motor North Ameirca, Inc.; Toyota Motor
Engineering & Manufacturing North America,
Inc.; and Toyota Motor Sales, U.S.A., Inc.

2:10-cv-
01039
CA C.D. Los Angeles

182. Katy Boyask, on Behalf of Herself and All Others
Similarly Situated,
v.
Toyota Motor Sales, U.S.A., Inc., and Toyota
Motor Corp.
2:10-cv-
01153
CA C.D. Los Angeles
Proposed
No. Full Case Name Civ. Action
No.
State District Division

183. Kerri Madden, on behalf of herself and all others
similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc.; Toyota Motor
North America, Inc.; Toyota Motor Engineering &
Manufacturing North America, Inc.; Toyota Motor
Manufacturing, California, Inc.; Toyota Motor
Corporation.

2:10-cv-
01094
CA C.D. Los Angeles

184. Sam Goldberger, on Behalf of Himself and All
Others Similarly Situated,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Corporation
2:10-cv-
02264
CA C.D. Los Angeles

185. Gloria Park, on behalf of herself and all others
similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc.
2:10-cv-
01264
CA C.D. Los Angeles

186. Ernest Cornell, individually and on behalf of all
others similarly situated,
v.
Toyota Motor Corporation; Toyota Motor Sales,
U.S.A., Inc.
2:10-cv-
01349
CA C.D. Los Angeles

187. Kathy Kallenbach and James Peterschmidt,
individually and on behalf of all others similarly
situated,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Engineering & Manufacturing, North America,
Inc., Toyota Motor Corporation

2:10-cv-
01604
CA C.D. Los Angeles

188. Green Spot Motors Co., Daniel Boudreault, and
Daniel Hamilton, individually and on behalf of
themselves and all others similarly situated,
v.
Toyota Motor Corporation; Toyota Motor Sales,
U.S.A., Inc.; Toyota Motor North America, Inc.

8:10-cv-
00312
CA C.D. Los Angeles

189. Curtis and Jackie McCleskey individually and on
behalf of all others similarly situated,
v.
Toyota Motor Corporation and Toyota Motor
Sales, U.S.A., Inc.

2:10-cv-
01889
CA C.D. Los Angeles
Proposed
No. Full Case Name Civ. Action
No.
State District Division

190. Beverly Yip, on behalf of herself and all others
similarly situated,
v.
Toyota Motor Corporation; Toyota Motor Sales,
U.S.A., Inc.; Toyota Motor North America, Inc.

2:10-cv-
01927
CA C.D. Los Angeles

191. Linda Tang, on behalf of herself and all others
similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Corporation, Toyota Motor Engineering &
Manufacturing North America, Inc., Toyota Motor
Manufacturing, Kentucky, Inc.

2:10-cv-
01939

192. Meredith Heller, on Behalf of Herself and All
Others Similarly Situated,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Corporation

2:10-cv-
01979

193. Dawn De Vincenzi, individually and on behalf of
all others similarly situated,
v.
Toyota Motor Corporation, Toyota Motor Sales,
U.S.A., Inc., Toyota Motor North America, Inc.

8:10-cv-
00328
CA C.D. Southern

194. Donald Graham,
v.
Toyota Motor Sales, U.S.A., Inc.

2:10-cv-
02022
CA C.D. Los Angeles
195. John Flook,
v.
Toyota Motor Sales, U.S.A., Inc.
2:10-cv-
02023
CA C.D. Los Angeles

196. Thomas E. Gudmundson,
v.
Toyota Motor Sales, U.S.A., Inc.

2:10-cv-
02021
CA C.D. Los Angeles

197. Ebony Brown,
v.
Toyota Motor Sales, U.S.A., Inc.

2:10-cv-
02080
CA C.D. Los Angeles

198. Rodney Josephson,
v.
Toyota Motor Sales, U.S.A., Inc.

2:10-cv-
02077
CA C.D. Los Angeles

199. Gary Davis,
v.
Toyota Motor Sales, U.S.A., Inc.

2:10-cv-
02078
CA C.D. Los Angeles

200. Elizabeth Van Zyl,
v.
Toyota Motor Sales, U.S.A., Inc.
2:10-cv-
02147
CA C.D. Los Angeles
Proposed
No. Full Case Name Civ. Action
No.
State District Division

201. Christine Hotaling,
v.
Toyota Motor Sales, U.S.A., Inc.
2:10-cv-
02271
CA C.D. Los Angeles

202. Gary Brown, Individually and on Behalf of All
Others Similarly Situated,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Engineering & Manufacturing North America,
Inc., Toyota Motor Corporation

2:10-cv-
02284
CA C.D. Los Angeles

203. Grace and Ronald Shigematsu, Individually, and
on behalf of themselves and all others similarly
situated,
v.
Toyota Motor Corporation; Toyota Motor Sales,
U.S.A., Inc.; Toyota Motor North America, Inc.

2:10-cv-
02179
CA C.D. Los Angeles

204. Henry and Veronica Troup,
v.
Toyota Motor Sales, U.S.A., Inc.

2:10-cv-
02272
CA C.D. Los Angeles

205. Stacey C. Schott,
v.
Toyota Motor Corporation, Toyota Motor Sales,
U.S.A., Inc.; Toyota Motor Engineering &
Manufacturing North America, Inc.

8:11-cv-
00104
(formerly
1:10-cv-
09188)
NY S.D. Foley
Square

206. Charmayne Bennett, Carol Danzinger, Vuin
Edwards Epps, Ziva Goldstein, Charles Henry,
Ada Morales, Linda Savoy, and Judy Veitz on
behalf of themselves and all others similarly
situated,
v.
Toyota Motor Corporation; Toyota Motor Sales,
U.S.A., Inc.

2:10-cv-
07778
CA C.D. Los Angeles

207. Rosetta Rehder, individually and on behalf of
other members of the general public similarly
situated,
v.
Toyota Motor Corp., Toyota Motor North America
Inc., Toyota Engineering and Manufacturing North
America Inc., Toyota Motor Sales USA, Inc.
2:10-cv-
01325
CA C.D. Los Angeles

208. Stefanie Bradley, on behalf of herself, and all
others similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc., Toyota Motor
Corporation, Toyota Motor North America, Inc.

2:10-cv-
03309
CA C.D. Los Angeles
Proposed
No. Full Case Name Civ. Action
No.
State District Division

209. Robyn Saba and Charles Saba, on behalf of
themselves and all others similarly situated,
v.
Toyota Motor Sales, USA., Inc., and Toyota Motor
Credit Corp.

2:10-cv-
03161
CA C.D. Los Angeles

210. Joseph J. and Nancy L Boppre, Howard Stern, and
Carol Ann Henderson, individually and on behalf
of all others similarly situated
v.
Toyota Motor Corporation and Toyota Motor
Sales U.S.A., Inc.

2:10-cv-
03156
CA C.D. Los Angeles

211. Daniel Durgin, on behalf of himself and all others
similarly situated,
v.
Toyota Motor Sales U.S.A., Inc.

2:10-cv-
03012
CA C.D. Los Angeles

212. Lydia Ellison, individually and on behalf of herself
and all others similarly situated
v.
Toyota Motor Corporation; Toyota Motor Sales,
U.S.A., Inc.; Toyota Motor North America, Inc.

2:10-cv-
03077
CA C.D. Los Angeles

213. Michael Jermakian, individually and on behalf of
all others similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc, a California
Corporation; Toyota Motor Corporation, a
Japanese Corporation

2:10-cv-
02893
CA C.D. Los Angeles

214. Brian Deis, individually and on behalf of the
general public and all others similarly situated,
v.
Toyota Motor Corporation; Toyota Motor Sales,
U.S.A., Inc.; Toyota Motor North America, Inc.

2:10-cv-
000458
CA C.D. Los Angeles

215. Deluxe Holdings, Inc,. individually and on behalf
of all others similarly situated,
v.
Toyota Motor Sales, U.S.A., Inc. a California
Corporation

2:10-cv-
02600
CA C.D. Los Angeles

216. SPP, Inc. dba All Star Rent-A-Car, individually
and on behalf of all others similarly situated,
v.
Toyota Motor Sales, U.S.A. Inc. a California
Corporation

2:10-cv-
02528
CA C.D. Los Angeles
Proposed
No. Full Case Name Civ. Action
No.
State District Division

217. Meetesh Shah, individually and on behalf of
himself and all others similarly situated,
v.
Toyota Motor Corporation; Toyota Motor Sales,
U.S.A. Inc., Toyota Motor North America, Inc.

2:10-cv-
00385
CA C.D. Los Angeles

218. Jean Dominguez, on behalf of himself and all
others similarly situated,
v.
Toyota Motor Corporation; Toyota Motor Sales,
U.S.A., Inc.; Toyota Motor North American, Inc.

2:10-cv-
00380
CA C.D. Los Angeles

219. Robert Navarro,
v.
Toyota Motor Sales, U.S.A., Inc.

2:10-cv-
02276
CA C.D. Los Angeles

220. Linda Summerville,
v.
Toyota Motor Sales, U.S.A, Inc.

2:10-cv-
02274
CA C.D. Los Angeles

221. Karen Bickel, individually and on behalf of herself
and all others similarly situated,
v.
Toyota Motor Corporation; Toyota Motor Sales,
U.S.A., Inc.; Toyota Motor North American, Inc.

2:10-cv-
02262
CA C.D. Los Angeles
Exhibit 2
Proposed
CLAIM FORM FOR ALLEGED DIMINISHED VALUE FUND

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales
Practices, and Products Liability Litigation
Class Members are eligible to submit this Claim Form only if you are a Class Member who:

(1) sold or traded in an owned Subject Vehicle(s) during the period from September 1, 2009 to
December 31, 2010, inclusive;

(2) returned a leased Subject Vehicle(s) before the lease termination date during the period from
September 1, 2009 to December 31, 2010, inclusive;

(3) insured and/or guaranteed the residual value of a Subject Vehicle as of September 1, 2009, and
with respect to such Subject Vehicle, thereafter either made payment to an insured, or sold the Subject
Vehicle, provided such payment or sale was made by a Residual Value Insurer on or before December 31,
2010;

(4) returned a leased Subject Vehicle before the lease termination date, after having reported an
alleged unintended acceleration event(s) to Toyota, an authorized Toyota Dealer or the National Highway
Traffic Safety Administration (“NHTSA”) before December 1, 2012; or

(5) owned a Subject Vehicle that was declared a total loss by an insurer during the period from
September 1, 2009 to December 31, 2010, inclusive.

You may not submit more than one claim for each eligible Subject Vehicle for which you are
seeking payment from the settlement funds.

INSTRUCTIONS FOR SUBMITTING A CLAIM FOR PAYMENT FROM THE SETTLEMENT
ALLEGED DIMINISHED VALUE FUND:

1) If you complete the Claim Form online at www.[website].com, when you type your VIN
(Vehicle Identification Number) in the applicable section below, some of the boxes in this
Claim Form will be automatically filled in. You must make ALL corrections that are
necessary and/or include ALL missing information.

2) For owners who sold or traded in: If eligible, you must complete ALL remaining information
fields in Section I (Information if Sold or Traded In a Subject Vehicle You Owned During the
Period from September 1, 2009 to December 31, 2010, Inclusive) below if you sold a Subject
Vehicle(s) you owned during the period from September 1, 2009 to December 31, 2010,
inclusive. If you are filing a claim for more than one Subject Vehicle, you can photocopy this
Claim Form and attach a separate sheet containing the information requested or, if you are
filing this Claim Form on-line, please check the box allowing you to include rows for more
than one Subject Vehicle.

3) For certain early lease terminations: If eligible, you must complete ALL remaining
information fields in Section II (Information If Returned In Subject Vehicle Before Early
Lease Termination) below if you are a lessee who and returned the Subject Vehicle(s) before
the lease termination date during the period from September 1, 2009 to December 31, 2010,
Proposed
inclusive. If you are filing a claim for more than one Subject Vehicle, you can photocopy this
Claim Form and attach a separate sheet containing the information requested or, if you are
filing this Claim Form on-line, please check the box allowing you to include rows for more
than one Subject Vehicle.

4) For Residual Value Insurers: If eligible, you must complete ALL remaining information fields
in Section III (Information If Insured or Guaranteed the Residual Value of a Subject Vehicle as
of September 1, 2009 and Thereafter Made a Payment as a Residual Value Insurer on or
Before December 31, 2010) below if you insured and/or guaranteed the residual value of a
Subject Vehicle as of September 1, 2009 and made a payment to an insured or sold the Subject
Vehicle as a Residual Value Insurer, provided that such payment or sale was made by you on
or before December 31, 2010. If you are filing a claim for more than one Subject Vehicle, you
can photocopy this Claim Form and attach a separate sheet containing the information
requested or, if you are filing this Claim Form on-line, please check the box allowing you to
include rows for more than one Subject Vehicle.

5) For certain other early lease terminations: If eligible, you must complete ALL remaining
information fields in Sections IV (Information If Returned a Leased Subject Vehicle Before
Lease Termination and After Reporting an Unintended Acceleration Event Before December
1, 2012) and VI below if you returned a leased Subject Vehicle before the lease termination
date, after having reported an alleged unintended acceleration event(s) as defined below in
Section VI to Toyota, an authorized Toyota Dealer or NHTSA before December 1, 2012. If
you are filing a claim for more than one Subject Vehicle, you can photocopy this Claim Form
and attach a separate sheet containing the information requested or, if you are filing this Claim
Form on-line, please check the box allowing you to include rows for more than one Subject
Vehicle.

6) If eligible, you must complete ALL remaining information fields in Section V (Information
About a Subject Vehicle That Was Declared a Total Loss by an Insurer During the Period from
September 1, 2009 to December 31, 2010, Inclusive) below if you had a Subject Vehicle that
was declared a total loss by an insurer during the period from September 1, 2009 to December
31, 2010, inclusive. If you are filing a claim for more than one Subject Vehicle, you can
photocopy this Claim Form and attach a separate sheet containing the information requested
or, if you are filing this Claim Form on-line, please check the box allowing you to include
rows for more than one Subject Vehicle.

7) Please complete Section VI (Unintended Acceleration Event) relating to an unintended
acceleration event only if you are eligible for and have completed section(s) I through V, as
applicable.

8) You must review, sign and date Section VII (Attestation) below.

9) Finally, your completed Claim Form and supporting documentation must be submitted
electronically no later than [DATE]and/or postmarked no later than [DATE]. You can mail the

Claim Form and supporting documentation to:

Class Action Settlement Administrator

[Address]

[City, State, Zip Code]

Proposed

Or you can e-mail the completed Claim Form and supporting documentation (in PDF) to
[Administrator’s e-mail address]. Or you can complete the Claim Form online and separately submit a
copy of the Claim Form and supporting documentation to the address listed above so the Class Action
Settlement Administrator can track the claim.

You may also submit the Claim Form electronically at the website and the supporting documentation by
mail. If you do this, you must include either a copy of this completed Claim Form or a cover statement
providing the same information for any documentation that is submitted to support your Claim. This will
allow the Class Action Settlement Administrator to process your Claim for payment, if your claim is
timely and complete.

Failure to timely complete all relevant portions of the Claim Form and submit any required
documentation may result in the denial of your Claim. Thus, you will receive no cash payment for
your claim. The Class Action Settlement Administrator has the right to request verification of
eligibility, including of purchase, ownership, lease or resale of the Subject Vehicle(s), to participate
in this fund.

Payment amounts to eligible Class Members will vary depending upon, among other factors, the number
of Subject Vehicles claimed by you and/or all Class Members for this Alleged Diminished Value Fund,
the states/locations in which the purchases and sales occurred, adjustments and deductions as specified in
the Settlement Agreement and/or any and all exhibits or protocols, and the amounts required for other
items for which this Alleged Diminished Value Fund may be used.

SECTION I: Information If Sold or Traded In a Subject Vehicle You Owned During the Period
from September 1, 2009 to December 31, 2010, Inclusive

Name:

Last First Middle initial

Vehicle Identification Number (VIN): (COMPLETE

THIS BOX FIRST AS IT MAY POPULATE OTHER
BOXES IN THIS CLAIM FORM AND BE SURE TO
CORRECT ANY WRONG INFORMATION.)

Telephone Number:

Make, Model, and Model Year of Vehicle
Month and Year of Sale:

Your Address:

Number/Street/P.O. Box No.

Proposed

City: State: Zip Code:

Attach to this Claim Form copies of documents containing ONE of the following SALE OR TRADE-IN
information:

1) Vehicle sale contract.

2) Documentation of trade-in if the Subject Vehicle was traded in to purchase another vehicle.

3) State department of motor vehicle purchase/registration form to whom the Subject Vehicle was
sold.

4) Other documents evidencing the sale or evidencing why you don’t have the documents.
Proposed

SECTION II: Information If Returned Subject Vehicle Before Early Lease Termination

Name:

Last First Middle initial

Vehicle Identification Number (VIN):

(COMPLETE THIS BOX FIRST AS IT MAY

POPULATE OTHER BOXES IN THIS CLAIM

FORM AND BE SURE TO CORRECT ANY
WRONG INFORMATION.)

Telephone Number:

Make, Model, and Model Year of Vehicle

Month and Year of Lease Termination:

Your Address:

Number/Street/P.O. Box No.

City: State: Zip Code:

Attach to this Claim Form copies of documents containing ONE of the following EARLY LEASE

TERMINATION information:

1) Vehicle lease termination contract.

2) Documentation of trade-in if the Subject Vehicle was traded in to purchase another vehicle if early
lease termination is evidenced.

3) State department of motor vehicle purchase/registration form if early lease termination is
evidenced.

4) Other documents evidencing the lease termination or evidencing why you don’t have the
documents.

SECTION III: Information If Insured or Guaranteed the Residual Value of a Subject Vehicle as of
September 1, 2009 and Thereafter Made a Payment as a Residual Value on or Before December 31,
2010

Company Name:

Vehicle Identification Number (VIN): (COMPLETE

THIS BOX FIRST AS IT MAY POPULATE OTHER

Telephone Number:

Proposed

BOXES IN THIS CLAIM FORM AND BE SURE TO
CORRECT ANY WRONG INFORMATION.)

Make, Model, and Model Year of Vehicle
Month and Year of Lease Termination
Insurer’s Address:

Number/Street/P.O. Box No.
City: State: Zip Code:

Attach to this Claim Form copy(ies) of a document(s) indicating payment amount, date and the Subject
Vehicle(s) at issue for the EARLY LEASE TERMINATION

Document(s) indicating payment and Subject Vehicle(s) at issue

SECTION IV: Information If Returned a Leased Subject Vehicle Before Lease Termination and

After Reporting an Unintended Acceleration Event Before December 1, 2012 (You Must Also
Complete Section VI Below)

Name:

Last or Company Name First Middle initial

Vehicle Identification Number (VIN): (COMPLETE

THIS BOX FIRST AS IT MAY POPULATE OTHER
BOXES IN THIS CLAIM FORM AND BE SURE TO
CORRECT ANY WRONG INFORMATION.)

Telephone Number:

Make, Model, and Model Year of Vehicle
Month and Year of Lease Termination:

Your Address:

Number/Street/P.O. Box No.

Proposed

City: State: Zip Code:

Attach to this Claim Form copy(ies) of a document(s) indicating EARLY LEASE TERMINATION
EVENT. You MUST also complete Section VI Reported Unintended Acceleration Event) below.

1) Vehicle lease termination contract.

2) Documentation of trade-in if the Subject Vehicle was traded in to purchase another vehicle if early
lease termination is evidenced.

3) State department of motor vehicle purchase/registration form if early lease termination is
evidenced.

4) Other documents evidencing the lease termination or evidencing why you don’t have the
documents.

SECTION V: Information About a Subject Vehicle That Was Declared a Total Loss by an Insurer
During the Period from September 1, 2009 to December 31, 2010, Inclusive

Name:

Last First Middle initial

Vehicle Identification Number (VIN): (COMPLETE
THIS BOX FIRST AS IT MAY POPULATE OTHER
BOXES IN THIS CLAIM FORM AND BE SURE TO
CORRECT ANY WRONG INFORMATION.)

Telephone Number:

Make, Model, and Model Year of Vehicle
Month and Year of Total Loss:

Your Address:
Number/Street/P.O. Box No.
City: State: Zip Code:

Attach to this Claim Form copies of documents evidencing the TOTAL LOSS and payment therefor.
Proposed

SECTION VI: Reported Unintended Acceleration Event

Please ONLY mark in the boxes/bubbles indicated, because these cards may be machine-read and any extraneous marks may
interfere with/delay processing.

Do not complete unless you have filled out one of Sections I through IV.

I state that

On or before December 1, 2012, I reported to Toyota (or an authorized Toyota dealer) or to NHTSA that I/a driver
of this vehicle listed above believed that one or more of the following symptoms occurred in this vehicle:

 an unintended acceleration-related symptom as to which Toyota inspected my vehicle and was unable to identify the cause
of the symptom;

 the possible loss of brake vacuum assist;

 an accelerator pedal that was slow to return or stuck in a partially depressed position;

 interference with the vehicle’s accelerator pedal with an incompatible or unsecured floor mat;

 increasing acceleration of the vehicle despite depressing only the brake pedal;

 acceleration (or failure to decelerate) when both the brake and accelerator pedals were depressed;

 rough or otherwise undesirable transmission shift sensation;

 the brakes did not respond as expected;

 unfamiliarity with the push-button on/off button;

 unexpected operation of the cruise control system;

 one or more drivability concerns (e.g., hesitation, surging, lurching, etc.);or

 high engine RPM at idle.
or I state that I made no such reports.

CONFIRMATION OF PRIOR REPORTING OF UNINTENDED ACCELERATION EVENT MAY BE REQUESTED
BY THE CLASS ACTION SETTLEMENT ADMINISTRATOR
SECTION VII: Attestation

I declare or affirm, under penalty of perjury under the laws of the United States, that the information in
this Claim Form is true and correct to the best of my knowledge, information and belief, that I can make
this claim, and have the authority to submit this Claim Form. I understand that my Claim Form may be
subject to audit, verification and Court review.

SIGNED:__________________________________ DATE:_________________
Claim Forms must be electronically submitted (with necessary supporting documentation
provided by e-mail or U.S. Mail) or postmarked no later than [DATE]. Questions? Visit
Proposed

www.[website].com or call, toll-free, [number].

Toyota and/or the Class Action Settlement Administrator are not responsible for any misdelivered, lost,
illegible, damaged, destroyed, or otherwise not received mail, including, but not limited to, supporting
documentation submissions and/or responses to requests for verification.

Exhibit 3

Proposed

CLAIM FORM FOR SUBJECT VEHICLES NOT ELIGIBLE TO RECEIVE
THE BRAKE OVERRIDE SYSTEM

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales

Practices, and Products Liability Litigation

Class Members are eligible to submit this Claim Form only if you are a Class Member who, as of [date] you
were a current owner or lease of a Subject Vehicle, unless: (i) your Subject Vehicle is a hybrid vehicle; (ii) you
already actually received Brake Override System on the Subject Vehicle; and/or (iii) you are eligible to receive
the Brake Override System on their Subject Vehicle. You may not submit more than one Claim for each
eligible Subject Vehicle for which you are seeking payment from the settlement funds.
INSTRUCTIONS FOR SUBMITTING A CLAIM FOR PAYMENT

FROM THE SETTLEMENT FUND:

1) If you complete the Claim Form online at www.[website].com, when you type your VIN (Vehicle
Identification Number) in Section I (Information on Class Member and Subject Vehicle) below, some of
the boxes in this Claim Form will be automatically filled in. You must make ALL corrections that are
necessary and/or include ALL missing information. If you are filing a claim for more than one Subject
Vehicle, you can photocopy this Claim Form and attach a separate sheet containing the information
requested, or, if you are filing this Claim Form on-line, please check the box allowing you to include
rows for more than one Subject Vehicle.

2) If applicable, please complete Section II (Reported Unintended Acceleration Event) relating to an
unintended acceleration event.

3) You must review, sign and date Section III (Attestation) below.

4) Finally, your completed Claim Form must be submitted electronically no later than [DATE] or
postmarked no later than [DATE]. The completed Claim Form can be submitted on line at [website] or
mailed to:

Class Action Settlement Administrator

[Address]

[City, State, Zip Code]


Or e-mailed to [Administrator’s e-mail address].

Failure to timely complete all relevant portions of the Claim Form may result in the denial of your
Claim. Thus, you will receive no cash payment for your claim. The Class Action Settlement
Administrator has the right to request verification of eligibility to participate in this fund.
Payment amounts to eligible Class Members will vary depending upon, among other factors, the number of
Subject Vehicles claimed by you and/or all Class Members for this Cash Payment in Lieu of BOS Settlement
Fund, adjustments and deductions as specified in the Settlement Agreement and/or any and all exhibits or
allocation process, and the amounts required for other items for which this Cash Payment in Lieu of BOS
Settlement Fund may be used.

Proposed

Toyota and/or the Class Action Settlement Administrator are not responsible for any misdelivered, lost,
illegible, damaged, destroyed, or otherwise not received mail, including, but not limited to, any responses to
requests for verification.

SECTION I: Information on Class Member and Subject Vehicle

Name:

Last First Middle initial

Vehicle Identification Number (VIN): (COMPLETE THIS BOX FIRST AS
IT MAY POPULATE OTHER BOXES IN THIS CLAIM FORM AND BE SURE
TO CORRECT ANY WRONG INFORMATION.)

Telephone Number:

Make, Model, and Model Year of Vehicle

Your Address:
Number/Street/P.O. Box No.

City: State: Zip Code:

SECTION II: Reported Unintended Acceleration Event

Please ONLY mark in the boxes/bubbles indicated, because these cards may be machine-read and any extraneous marks may interfere
with/delay processing.

Do not complete unless you have filled out Section I above

I state that

On or before December 1, 2012, I reported to Toyota (or an authorized Toyota dealer) or to NHTSA that I/a driver of this
vehicle listed above believed that one or more of the following symptoms occurred in this vehicle:

 an unintended acceleration-related symptom as to which Toyota inspected my vehicle and was unable to identify the cause of the
symptom;

 the possible loss of brake vacuum assist;

 an accelerator pedal that was slow to return or stuck in a partially depressed position;

 interference with the vehicle’s accelerator pedal with an incompatible or unsecured floor mat;

 increasing acceleration of the vehicle despite depressing only the brake pedal;

 acceleration (or failure to decelerate) when both the brake and accelerator pedals were depressed;

 rough or otherwise undesirable transmission shift sensation;

 the brakes did not respond as expected;

 unfamiliarity with the push-button on/off button;

 unexpected operation of the cruise control system;

 one or more drivability concerns (e.g., hesitation, surging, lurching, etc.);or

 high engine RPM at idle.

or I state that I made no such reports.

SECTION III: Attestation

I declare or affirm, under penalty of perjury under the laws of the United States, that the information in this Claim Form is
true and correct to the best of my knowledge, information and belief, that I can make this claim, and have the authority to
submit this Claim Form. I understand that my Claim Form may be subject to audit, verification and Court review.

SIGNED:__________________________________ DATE:_________________

Claim Forms must be electronically submitted or postmarked no later than [DATE]. Questions? Visit
www.[website].com or call, toll-free, [number].

Exhibit 4

Proposed

Authorized by the U.S. District Court for the Central District of California

Notice of Pendency and Proposed Settlement of Class

Action Involving Certain Toyota, Lexus and Scion Vehicles

Para ver este aviso en espanol, visita www.[website]

A. BASIC INFORMATION

1. What is this Notice about?

A Court authorized this Notice because you may have a right to know about a proposed
settlement of a class action lawsuit and about all of your options and associated deadlines
before the Court decides whether to give final approval to the settlement. The name of the
lawsuit is In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices,
and Products Liability Litigation, Case No. 8:10ML2151 JVS (FMOx). The defendants are
Toyota Motor Corporation and Toyota Motor Sales, U.S.A., Inc. (together “Toyota”). This
Notice explains the lawsuit, the settlement, and your legal rights. You are NOT being sued.
The Court still has to decide whether to finally approve the settlement. Payments and other
benefits will be distributed only if the Court finally approves the settlement and after any
appeals are resolved in favor of the settlement. Please be patient and check the website
identified in this Notice regularly. Please do not contact Toyota, Lexus, and/or Scion dealers
as the Court has ordered that all questions be directed to the Class Action Settlement
Administrator.

Your legal rights may be affected even if you do not act.
Please read this Notice carefully.

ProposedQUESTIONS? CALL TOLL FREE [NUMBER] OR VISIT WWW.[WEBSITE]
PLEASE DO NOT CALL THE JUDGE OR THE CLERK OF COURT

YOUR RIGHTS AND CHOICES

YOU MAY: DUE DATE

FILE A CLAIM

FORM(S)

This is the only way that you can get monetary benefits for which you may
be eligible.

[date(s)]

OBJECT Write to the Court about why you don’t like the proposed settlement. [date]

EXCLUDE YOURSELF

Ask to get out (opt out) of the proposed settlement. If you do this, you are
not entitled to certain settlement benefits, but you keep your right to sue
Toyota about the issues in the lawsuit.
[date]

APPEAR IN THE
LAWSUIT OR GO
TO THE FAIRNESS
HEARING

You are not required to enter an appearance in the lawsuit in order to
participate in the proposed settlement, but you may enter an appearance on
your own or through your own lawyer in addition to filing an objection if
you do not opt out. You can also ask to speak in Court at the Fairness

Hearing about the proposed settlement.

[Appearance
deadline - date]

[Fairness Hearing
date and time]

DO NOTHING You may not receive certain settlement benefits that you may otherwise be
eligible for and you give up the right to sue Toyota about the issues in the
lawsuit.

2. What is the lawsuit about?

The class action lawsuit claims that certain Toyota, Scion and Lexus vehicles equipped with
electronic throttle control systems (“ETCS”) are defective and can experience acceleration
that is unintended by the driver. As a result, the lawsuit pursues claims for breach of
warranties, unjust enrichment, and violations of various state consumer protection statutes,
among other claims. You can read the Third Amended Economic Loss Master Consolidated
Complaint by visiting www.[website]. Toyota denies that it has violated any law, denies
that it engaged in any wrongdoing, and denies that there is any defect in its ETCS. The
parties agreed to resolve these matters before these issues were decided by the Court.

This settlement does not involve claims of personal injury or property damage.

3. What vehicles are included in the settlement?
The following Toyota, Lexus, and Scion vehicles (called the “Subject Vehicles”) equipped
or installed with an ETCS distributed for sale or lease in the United States, the District of
Columbia, Puerto Rico and all other United States territories and/or possessions are
included:

ProposedQUESTIONS? CALL TOLL FREE [NUMBER] OR VISIT WWW.[WEBSITE]
PLEASE DO NOT CALL THE JUDGE OR THE CLERK OF COURT

Toyota

Model Model Years

4Runner 2001-2010

Avalon 2005-2010

Camry 2002-2010

CamryHV 2007-2010

Camry Solara (2AZ) 2002-2008

Camry Solara (except 2AZ) 2004-2008

Celica (2ZZ) 2003-2005

Corolla (except 2ZZ) 2005-2010

Corolla Matrix (except 1ZZ 4WD, 2ZZ) 2005-2010

FJ Cruiser 2007-2010

Highlander 2004-2010

HighlanderHV 2006-2010

Land Cruiser 1998-2010

Prius 2001-2010

RAV4 2004-2010

Sequoia 2001-2010

Sienna 2004-2010

Spyder (MR2) SMT 2001-2005

Supra (2JZ-GE) 1998

Tacoma (5VZ w/ETCS-i) 2003-2004

Tacoma 2005-2010

Tundra (except 5VZ) 2000-2010

Tundra (5VZ) 2003-2004

Venza 2009-2010

Yaris Hatchback (Puerto Rico only) 2006

Yaris 2007-2010

Lexus

Model Model Years

ES 2002-2010

GS 1998-2010

GS HV 2007-2010

GX 2003-2010

HS 2010

IS 2001-2010

LS 1998-2010

LS HV 2008-2010

LX 1998-2010

RX 2004-2010

RX HV 2006-2008, 2010

SC 1998-2000, 2002-2010

Scion

Model Model Years

ProposedQUESTIONS? CALL TOLL FREE [NUMBER] OR VISIT WWW.[WEBSITE]
PLEASE DO NOT CALL THE JUDGE OR THE CLERK OF COURT

xB 2008-2010

xD 2008-2010

tC 2005-2010

4. Why is this a class action?

In a class action, people called “class representatives” sue on behalf of other people who
have similar claims. All of these people together are the “Class” or “Class Members” if the
Court approves this procedure. Then, that Court resolves the issues for all Class Members,
except for those who exclude themselves from the Class.

5. Why is there a settlement?

Both sides in the lawsuit agreed to a settlement to avoid the cost and risk of further litigation,
including a potential trial, and so that the Class Members can get benefits, in exchange for
releasing Toyota from liability. The settlement does not mean that Toyota broke any laws
and/or did anything wrong, and the Court did not decide which side was right. The
settlement here has been preliminarily approved by the Court, which authorized the issuance
of this Notice. The Class Representatives and the lawyers representing them (called “Class
Counsel”) believe that the settlement is in the best interests of all Class Members.

The essential terms of the settlement are summarized in this Notice. The Settlement
Agreement along with all exhibits and addenda sets forth in greater detail the rights and
obligations of the parties. If there is any conflict between this Notice and the Settlement
Agreement, the Settlement Agreement governs.

B.WHO IS IN THE SETTLEMENT?

To see if you are affected or if you can get money or benefits, you first have to determine
whether you are a Class Member.

6. How do I know if I am part of the settlement?

You are part of the settlement if you are a person, entity or organization who, at any time
before [date of Preliminary Approval Order], own or owned, purchase(d), lease(d) and/or
insure(d) the residual value as a Residual Value Insurer of a Subject Vehicle equipped or
installed with an ETCS distributed for sale or lease in any of the fifty States, the District of
Columbia, Puerto Rico and all other United States territories and/or possessions. This is
called the “Class.” Please note that, if you are a Class Member, you do not need to currently
own, lease or insure, as a Residual Value Insurer, the residual value of a Subject Vehicle to

Proposed

QUESTIONS? CALL TOLL FREE [NUMBER] OR VISIT WWW.[WEBSITE]
PLEASE DO NOT CALL THE JUDGE OR THE CLERK OF COURT
be part of the settlement.

Excluded from the Class are: (a) Toyota, their officers, directors and employees; their
affiliates and affiliates’ officers, directors and employees; their distributors and distributors’
officers, directors and employees; and Toyota Dealers and Toyota Dealers’ officers and
directors; (b) Plaintiffs’ Class Counsel, Allocation Counsel and their employees; (c) judicial
officers and their immediate family members and associated court staff assigned to this case;
and (d) persons or entities who or which timely and properly exclude themselves from the
Class.

7. I’m still not sure if I’m included in the settlement.

If you are not sure whether you are included in the Class, you may call [toll free number of
Class Action Settlement Administrator]. Please do not contact Toyota, Lexus, and/or Scion
or dealers as the Court has ordered that all questions be directed to the Class Action
Settlement Administrator.

C. THE SETTLEMENT BENEFITS—WHAT YOU GET AND HOW TO GET IT

8. What does the settlement provide?

If you are a Class Member, what you are eligible to receive depends on several factors,
including, among other things, the model and model year of your vehicle, whether you still
own, lease or insure the residual value of the vehicle, and the state of your residence. The
settlement benefits are outlined generally below, but more information can be found at the
settlement website. The Court still has to decide whether to finally approve the settlement.
Benefits will be provided only if the Court finally approves the settlement and, for some
benefits, only after any appeal period expires or any appeals are resolved in favor of the
settlement. We do not know when the Court will finally approve the settlement if it does so
or whether there will be any appeals that would have to be resolved in favor of the
settlement before certain benefits would be provided, so we do not know precisely when any
benefits may be available. Please check [settlement website] regularly for updates regarding
the settlement.

Please note that you may have to take action within certain deadlines to receive certain
benefits, such as completing and submitting a claim form. If you do nothing, you may not
receive certain benefits from the settlement, and, as a Class Member, you will not be able to
sue Toyota about the issues in the lawsuit.

ProposedQUESTIONS? CALL TOLL FREE [NUMBER] OR VISIT WWW.[WEBSITE]
PLEASE DO NOT CALL THE JUDGE OR THE CLERK OF COURT

a. Money Payment to Certain Former Owners or Lessors and
Residual Value Insurers.

If the settlement is finally approved (including any appeals resolved in favor of the
settlement), Toyota will pay $250 million into a fund for distribution to eligible Class
Members who: (a) sold or traded in an owned Subject Vehicle during the period September
1, 2009 to December 31, 2010, inclusive; (b) returned a leased Subject Vehicle before the
lease termination date during the period September 1, 2009 to December 31, 2010, inclusive;
or (c) insured and/or guaranteed the residual value of a Subject Vehicle as of September 1,
2009, and with respect to such Subject Vehicle, thereafter either made payment to an
insured, or sold the Subject Vehicle, provided such payment or sale was made by a Residual
Value Insurer on or before December 31, 2010; or (d) returned a leased Subject Vehicle
before the lease termination date, after having reported an alleged unintended acceleration
event(s) (as defined in the attached Claim Form) to Toyota, an authorized Toyota Dealer or
the National Highway Traffic Safety Administration (“NHTSA”) before December 1, 2012;
or (e) owned a Subject Vehicle that was declared a total loss by an insurer during the period
from September 1, 2009 to December 31, 2010, inclusive.

Plaintiffs’ expert witness in the lawsuit identified the period September 1, 2009 to December
31, 2010 as a period in which the Subject Vehicles may have suffered a loss in value due to
publicity associated with certain of the Subject Vehicles. This fund will be distributed to
eligible Class Members according to a Plan of Allocation that is available at the settlement
website. Your payment may range from $____ to $____ [numbers to be inserted at time of
mailing], depending on the make, model, and model year of the Subject Vehicle, when you
sold or returned the Subject Vehicle, the state in which you reside, the number of claims
submitted, and other adjustments and deductions. It is possible that your payment will be
lower, however. Please refer to the Plan of Allocation at [settlement website] in order to
obtain more details.

By no later than February 15, 2013, you will be able to visit [website], enter certain
information and get additional information about the settlement benefits, including this fund.
If the fund amount is insufficient to cover all claims, payments will be reduced on a pro-rata
basis. Please note, if any money remains in the fund, it will be applied as follows: half to
reimburse any costs associated with notice and administration of the settlement and half to
the automobile safety research and education fund described below in section 8(e) until
Toyota’s notice and administration costs are fully reimbursed and then 100% to the
automobile safety research and education fund described below.

Proposed

QUESTIONS? CALL TOLL FREE [NUMBER] OR VISIT WWW.[WEBSITE]
PLEASE DO NOT CALL THE JUDGE OR THE CLERK OF COURT

Important: In order to receive money from this fund, eligible Class Members must complete
and submit the proper Claim Form on or before [date]. If you are an eligible Class
Member, you can complete and submit a Claim Form online at www.[website].

Alternatively, if you are an eligible Class Member, you can obtain a Claim Form from the
settlement website, print it out, complete it, and mail it on or before [date] to the settlement
administrator at [contact and address]. Class Members submitting Claim Forms must timely
provide all information requested on the Claim Form in order to demonstrate eligibility to
receive a payment.

b. Brake Override System Installation.

If the settlement is finally approved, Class Members who currently own or lease the Subject
Vehicles specified below may have a brake override system installed on their vehicle at no
cost to them. The brake override system will automatically reduce engine power when the
brake pedal and the accelerator pedal are applied simultaneously under certain driving
conditions. Toyota will begin to offer this benefit over time, beginning after final approval
by the Court.

If you are eligible for this benefit, to take advantage of it, you need only take your vehicle to
a Toyota/Lexus authorized dealer. This benefit is available for two years from the date
Toyota gives notice on [website] that the brake override system is available for a particular
eligible Subject Vehicle – so please check [settlement website] regularly for updates. You
must still own or lease and possess your vehicle at the time you seek the brake override
system. However, this benefit will be automatically transferred with the eligible Subject
Vehicle. Inoperable vehicles and vehicles with a salvaged, rebuilt or flood-damaged title are
not eligible to receive a brake override system.

If the settlement is approved, the following non-hybrid models equipped with ETCS are
eligible for a brake override system as part of this settlement:

Toyota Models Model Years

4Runner 2003-2009

Corolla 2009-2010

Highlander 2008-2010

Land Cruiser 2008-2010

RAV4 2006-2010

Tundra 2007-2010

Lexus Models Model Years

LX 2008-2010

RX 2010

ProposedQUESTIONS? CALL TOLL FREE [NUMBER] OR VISIT WWW.[WEBSITE]

PLEASE DO NOT CALL THE JUDGE OR THE CLERK OF COURT

In addition, Toyota previously offered to install a brake override system on the following
non-hybrid models equipped with ETCS; these models are eligible to receive this brake
override system without any deadline if you did not previously have it installed. Toyota will
also send a reminder to current owners or lessees who did not already have the brake
override system installed on their Subject Vehicles.

Toyota Models Model Years

Avalon 2005-2010

Camry 2007-2010

Sequoia1 2008-2010

Tacoma 2005-2010

Venza 2009-2010

Lexus Models Model Years

ES 2007-2010

IS 2006-2010

IS-F 2008-2010

In addition, hybrid Subject Vehicles already have something called Parts Protection Logic
that, among other things, performs a similar function as a brake override system.

c. Money Payment to Eligible Current Owners and Lessees In Lieu of
Offer of Brake Override System Installation.

If the settlement is finally approved (including any appeals resolved in favor of the
settlement), Toyota will pay $250 million into a fund for distribution to eligible Class
Members who still own or lease their Subject Vehicles, unless (a) their Subject Vehicle is a
hybrid vehicle; (b) they already actually received a brake override system installation on
their Subject Vehicle; or (c) they are eligible for the brake override system on their Subject
Vehicles described above in section 8(b). This fund will be distributed according to a Plan
of Allocation that is available at the settlement website. Eligible Class Members’ payments
may range from $37 to $125, depending on the state in which you reside, the number of
claims submitted, and other adjustments and deductions. It is possible that payments will be
lower, however, or may be higher, depending upon the number of Claims submitted and
other factors, but in no event will exceed $125. Please refer to the Plan of Allocation at
[website] in order to obtain more details.

By no later than February 15, 2013, you will be able to visit [website], enter certain
information and get additional information about the settlement benefits, including this fund.

1 Toyota will continue to install the brake override system on Sequoia vehicles that have not yet received the brake override
system, up to the end-date of the current Sequoia limited service campaign of October 31, 2013.

Proposed

QUESTIONS? CALL TOLL FREE [NUMBER] OR VISIT WWW.[WEBSITE]
PLEASE DO NOT CALL THE JUDGE OR THE CLERK OF COURT

Please note, if the fund amount is insufficient to cover all claims, payments will be reduced
on a pro-rata basis. If any money remains in the fund, it will be applied in the same manner
described above in section 8(a).

Important: In order to receive money from this fund, eligible Class Members must complete
and submit the applicable Claim Form on or before ______. If you are an eligible Class
Member, you can complete and submit the Claim Form online at www.[website].

Alternatively, if you are an eligible Class Member, you can obtain the Claim Form from the
settlement website, print it out, complete it, and mail it on or before [date] to the settlement
administrator at [contact and address]. Class Members submitting Claim Forms must timely
provide all information requested on the Claim Form in order to demonstrate eligibility to
receive a payment.

d. Customer Support Program.

If the settlement is finally approved, for Class Members who still possess their Subject
Vehicles, Toyota will implement a Customer Support Program that will stand by the
reliability of the vehicles by providing provide prospective coverage for repairs and
adjustments needed to correct defects, if any, in materials or workmanship in certain parts
associated with the vehicle’s operation at no cost to the owner or lessee if any of those parts
fail, break, or malfunction. The Customer Support Program will last for ten (10) years after
the expiration of any existing warranty for each of the covered parts, subject to a maximum
limit of 150,000 miles, except that each eligible vehicle will receive no less than three (3)
years of coverage from the date of final settlement approval (regardless of when the
underlying warranty expires and your vehicle’s mileage), if the Court finally approves the
settlement. The covered parts are the: (i) engine control module; (ii) cruise control switch;
(iii) accelerator pedal assembly; (iv) stop lamp switch; and (v) throttle body assembly. The
Customer Support Program is transferable with the Subject Vehicle.

If you are a Class Member who is eligible for the Customer Support Program, you need not
take any action in order to be eligible to participate in the Customer Support Program. If a
covered part fails, breaks, or malfunctions due to a defect in materials or workmanship from
the date of final approval through the end of the Customer Service Program, you should take
your vehicle to a Toyota/Lexus/Scion authorized dealer for repair or adjustment under the

Customer Support Program.

If you received a post-card notifying you of the proposed settlement, you should tear off the
portion referring to the Customer Support Program and place it in your vehicle’s glove box.
You also can obtain a document summarizing the Customer Support Program at [settlement
website]. You do not need to have the summary to receive the benefits of the Customer

Proposed

QUESTIONS? CALL TOLL FREE [NUMBER] OR VISIT WWW.[WEBSITE]
PLEASE DO NOT CALL THE JUDGE OR THE CLERK OF COURT

Support Program, but it may serve as a reminder to you in the event any covered part fails,
breaks or malfunctions. Inoperable vehicles and vehicles with a salvaged, rebuilt or flooddamaged
title are not eligible for the Customer Support Program.

e. Automobile Safety and Education Program Payment.

If the settlement is finally approved (including any appeals resolved in favor of the
settlement), Toyota will pay $30,000,000 to fund a program for automobile safety and
education related to issues in the lawsuit. Toyota’s payment will be divided between
contributions to university-based automobile/transportation research and an
education/information program for automobile drivers. Contributions to the university
programs will be for the purposes of researching issues to develop advances in active safety
features, vehicle control and driver attention. The education/information program will
consist of an education campaign focused on driver safety. If amounts remain from the
settlement funds identified above in sections 8(a) and 8(c), any future money contributed to
research and education programs will be divided for the same purposes as outlined above.
More details on the Automobile Safety and Education Program can be found at [settlement
website.].

9. What am I giving up in exchange for the settlement benefits?

If the settlement becomes final, Class Members who do not exclude themselves from the
Class will release Toyota from liability and will not be able to sue Toyota about the issues in
the lawsuit. The Settlement Agreement at section VI describes the released claims in
necessary legal terminology, so read it carefully. For ease of reference, we also attach the
full release section in Appendix A to this Notice. The Settlement Agreement is available at
www.[website]. You can talk to one of the lawyers listed in Question 15 below for free or
you can, of course, talk to your own lawyer at your own expense if you have questions about
the released claims or what they mean.

D. EXCLUDING YOURSELF FROM THE SETTLEMENT

If you want to keep the right to sue or continue to sue Toyota over the legal issues in the
lawsuit, then you must take steps to get out of this settlement. This is called asking to be
excluded from the Class, also referred to as “opting out” of the Class.
10. If I exclude myself, can I get anything from this settlement?
ProposedQUESTIONS? CALL TOLL FREE [NUMBER] OR VISIT WWW.[WEBSITE]
PLEASE DO NOT CALL THE JUDGE OR THE CLERK OF COURT

If you exclude yourself, you cannot get settlement benefits. If you ask to be excluded, you
cannot object to the settlement. But, if you timely and properly request exclusion, the
settlement will not prevent you from suing, continuing to sue or remaining or becoming part
of a different lawsuit against Toyota in the future about the issues in the lawsuit. If you
exclude yourself, you will not be bound by anything that happens in this lawsuit and you
may not object to the settlement.

11. If I don’t exclude myself, can I sue later?
Unless you exclude yourself, you give up the right to sue Toyota for the claims resolved by
this settlement. If the settlement is finally approved, you will be permanently enjoined and
barred from initiating or continuing any lawsuit or other proceeding against Toyota about the
issues in the lawsuit.

12. How do I get out of the settlement?

To exclude yourself from the settlement, you must send a letter by mail saying that you
want to be excluded from the settlement in In re: Toyota Motor Corp. Unintended
Acceleration Marketing, Sales Practices, and Products Liability Litigation and mention the
case number (No. 8:10ML2151 JVS (FMOx)). In the letter, you must include your name,
address, year, make, model, and VIN number of your vehicle, your telephone number, and
your signature. You can’t ask to be excluded over the phone or at [settlement website]. You
must mail your exclusion request postmarked no later than [date] to:
[contact and address]

Your exclusion request must be received by [contact] no later than [date] to be considered
by the Court. The deadlines found in this Notice may be changed by the Court. Please
check www.[settlement website] regularly for updates regarding the settlement.

E. THE LAWYERS REPRESENTING YOU

13. Do I have a lawyer in the case?

Yes. The Court has appointed lawyers to represent you and other Class Members. These
lawyers are called “Class Counsel”: Steve W. Berman at Hagens Berman Sobol Shapiro
LLP; Marc M. Seltzer at Susman Godfrey L.L.P.; and Frank M. Pitre at Cotchett, Pitre &
McCarthy. You will not be charged for these lawyers. If you want to be represented by
another lawyer, you may hire one to appear in Court for you at your own expense.
ProposedQUESTIONS? CALL TOLL FREE [NUMBER] OR VISIT WWW.[WEBSITE]
PLEASE DO NOT CALL THE JUDGE OR THE CLERK OF COURT

14. How will the lawyers be paid?

Class Counsel will ask the Court for attorneys’ fees not to exceed $200 million, plus up to an
additional $27 million in costs and expenses. These fees and expenses will go to 25
plaintiffs’ firms and approximately 85 attorneys who worked on the litigation. Class
Counsel will ask for payments to each of the Plaintiffs and Class Representatives of $100
per hour, with a minimum of $2,000 award, for their time invested in connection with the
Actions. The Court may award less than these amounts. If the Court awards less than the
amounts requested for attorneys’ fees and costs, Toyota agrees to pay the remainder to the
automobile safety research and education fund. Toyota will separately make the payments
that the Court orders up to the amounts identified in this paragraph after the settlement is
finally approved (including any appeals resolved in favor of the settlement). These
payments will not reduce the value of the settlement benefits made available to Class
Members. Toyota will also separately pay these attorneys’ fees and expenses and also will
pay the costs to provide notice of and to administer the settlement, subject to potential
reimbursement of these costs pursuant to the terms of the settlement.

F. OBJECTING TO THE SETTLEMENT

You can tell the Court if you don’t agree with the settlement or some part of it.
15. How do I tell the Court if I don’t like the settlement?

If you are a Class Member, and you don’t exclude yourself from the Class, you can object to
the settlement if you don’t like some part of it. You can give reasons why you think the
Court should not approve it. To object, you must send a written objection saying that you
object to the settlement in In re: Toyota Motor Corp. Unintended Acceleration Marketing,
Sales Practices, and Products Liability Litigation, Case No. 8:10ML2151 JVS (FMOx) to
Class Counsel and Toyota’s Counsel at the address below so that the objection is received by
Class Counsel and Toyota’s Counsel no later than [date]. To have your objection considered
by the Court, you also must file the objection with the Clerk of Court (identified below) so
that it is received and filed no later than [date]. In your objection, you must provide the
specific reason for your objection (including any legal support), any evidence or other
information you wish to rely on, a statement of whether you intend to appear at the fairness
hearing (discussed below), and information showing that you are a member of the Class,
include a list of the Subject Vehicles to which your objection applies (with VIN number, and
the make and model of each vehicle), your name, address, telephone number, your signature,

Proposed

QUESTIONS? CALL TOLL FREE [NUMBER] OR VISIT WWW.[WEBSITE]
PLEASE DO NOT CALL THE JUDGE OR THE CLERK OF COURT

and proof of purchase, ownership and/or lease of a Subject Vehicle.

Clerk of Court

United States District Court

Central District of California

411 West Fourth Street,

Room 1053

Santa Ana, CA 92701-4516

Class Counsel

Steve W. Berman

Hagens Berman Sobol &
Shapiro LLP

1918 Eighth Ave., Suite
3300

Seattle, WA 98101

Toyota’s Counsel

John P. Hooper

Reed Smith

599 Lexington Avenue

22nd Floor

New York, NY 10022

J. Gordon Cooney, Jr.

Morgan Lewis & Bockius
LLP

1701 Market Street

Philadelphia, PA 19103-
2921

16. What’s the difference between objecting and excluding?

Excluding yourself is telling the Court that you don’t want to be part of the Class. If you
exclude yourself, you have no basis to object because the settlement no longer affects you.
Objecting is telling the Court that you don’t like something about the settlement. You can
object only if you stay in the Class.

If you are a Class Member and you do nothing, you will remain a Class Member and all of
the Court’s orders will apply to you, you will be eligible for the settlement benefits described
above as long as you satisfy the conditions for receiving each benefit, and you will not be
able to sue Toyota over the issues in the lawsuit.

G. THE COURT’S FAIRNESS HEARING

The Court will hold a hearing to decide whether to grant final approval to the settlement. If
you have filed an objection on time and attend the hearing, you may ask to speak, but you
don’t have to attend or speak.

17. When and where will the Court decide whether to grant final approval
of the settlement?

The Court will hold a Fairness Hearing at __ p.m. on [date] at the Ronald Reagan Federal

Proposed

QUESTIONS? CALL TOLL FREE [NUMBER] OR VISIT WWW.[WEBSITE]
PLEASE DO NOT CALL THE JUDGE OR THE CLERK OF COURT

Building and United States District Court, Central District of California, 411 West Fourth
Street, Santa Ana, CA 92701. At this hearing, the Court will consider whether the
settlement is fair, reasonable, and adequate. If there are objections, the Court will consider
them. The Court will only listen to people who have met the requirement to speak at the
hearing (See Question 19 below). After the hearing, the Court will decide whether to grant
final approval the settlement, and, if so, how much to pay the lawyers representing Class
Members. We do not know how long these decisions will take.

18. Do I have to come to the hearing?

No. Class Counsel will answer any questions the Court may have. But you are welcome to
come at your own expense. If you send an objection, you don’t have to come to Court to
talk about it – but you can if you provide advance notice of your intention to appear (See
Question 19 below). As long as you filed a written objection with all of the required
information on time with the Court and delivered it on time to Class Counsel and Toyota’s
Counsel, the Court will consider it. You may also pay another lawyer to attend, but it is not
required.

19. May I speak at the hearing?

You or your attorney may ask the Court for permission to speak at the Fairness Hearing. To
do so, you must send a letter saying that it is your “Notice of Intent to Appear in In re:
Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products
Liability Litigation” to Class Counsel and Toyota’s Counsel identified above in response to
Question 15 so that they receive it no later than [date]. You must also file the document
with the Clerk of Court so that it is received and filed no later than [date]. You must include
your name, address, telephone number, the make and model and VIN number of your
vehicle, and your signature. Anyone who has requested permission to speak must be present
at the start of the Fairness hearing at __ p.m. on [date]. You cannot speak at the hearing if
you excluded yourself from the Class.

H. GETTING MORE INFORMATION

20. How do I get more information?

This Notice summarizes the proposed settlement. More details are in a Settlement
Agreement, including its exhibits and addenda. You can get a copy of the Settlement
Agreement and other information about the settlement, including, but not limited to, answers

Proposed

QUESTIONS? CALL TOLL FREE [NUMBER] OR VISIT WWW.[WEBSITE]
PLEASE DO NOT CALL THE JUDGE OR THE CLERK OF COURT

to frequently asked questions and the Claim Forms, at www.[website]. You can also call the
toll-free number, [number] or write the settlement administrator at [contact and address].
You can also look at the documents filed in the lawsuit at the Court at the address provided
above in response to Question 15.

21. When will the settlement be final?

The settlement will not be final unless and until the Court grants final approval of the
settlement at or after the Fairness Hearing and after any appeals are resolved in favor of the
settlement. Please be patient and check the website identified in this Notice regularly. Please
do not contact Toyota, Lexus, and/or Scion dealers as the Court has ordered that all
questions be directed to the Class Action Settlement Administrator.

Proposed

QUESTIONS? CALL TOLL FREE [NUMBER] OR VISIT WWW.[WEBSITE]
PLEASE DO NOT CALL THE JUDGE OR THE CLERK OF COURT

Appendix A – Section VI from the Settlement Agreement – Release and Waiver

A. The Parties agree to the following release and waiver, which shall take effect upon entry of
the Final Order and Final Judgment.

B. In consideration for the Settlement, Class Representatives, Plaintiffs and each Class Member,
on behalf of themselves and any other legal or natural persons who may claim by, through or under them,
agree to fully, finally and forever release, relinquish, acquit, discharge and hold harmless the Released
Parties from any and all claims, demands, suits, petitions, liabilities, causes of action, rights, and damages of
any kind and/or type regarding the subject matter of the Actions, including, but not limited to,
compensatory, exemplary, punitive, expert and/or attorneys’ fees or by multipliers, whether past, present, or
future, mature, or not yet mature, known or unknown, suspected or unsuspected, contingent or noncontingent,
derivative or direct, asserted or un-asserted, whether based on federal, state or local law, statute,
ordinance, regulation, code, contract, common law, or any other source, or any claim of any kind related
arising from, related to, connected with, and/or in any way involving the Actions, the Subject Vehicles,
any and all claims involving the ETCS, any and all claims of unintended acceleration in any manner that
are, or could have been, defined, alleged or described in the Economic Loss Master Consolidated
Complaint, the Amended Economic Loss Master Consolidated Complaint, the Second Amended Economic
Loss Master Consolidated Complaint, the Third Amended Economic Loss Master Consolidated Complaint,
the TAMCC, the Actions or any amendments of the Actions, including, but not limited to, the design,
manufacturing, advertising, testing, marketing, functionality, servicing, sale, lease or resale of the Subject
Vehicles.

C. Notwithstanding the foregoing, Class Representatives, Plaintiffs and Class Members are not
releasing claims for personal injury, wrongful death or actual physical property damage arising from an
accident involving a Subject Vehicle.

D. The Final Order and Final Judgment will reflect these terms.

E. Class Representatives, Plaintiffs and Class Members expressly agree that this Release, the
Final Order, and/or the Final Judgment is, will be, and may be raised as a complete defense to, and will
preclude any action or proceeding encompassed by, this Release.

F. Class Representatives, Plaintiffs and Class Members shall not now or hereafter institute,
maintain, prosecute, assert, and/or cooperate in the institution, commencement, filing, or prosecution of any
suit, action, and/or proceeding, against the Released Parties, either directly or indirectly, on their own
behalf, on behalf of a class or on behalf of any other person or entity with respect to the claims, causes of
action and/or any other matters released through this Settlement.

G. In connection with this Agreement, Class Representatives, Plaintiffs and Class Members
acknowledge that they may hereafter discover claims presently unknown or unsuspected, or facts in addition
to or different from those that they now know or believe to be true concerning the subject matter of the
Actions and/or the Release herein. Nevertheless, it is the intention of Plaintiffs’ Class Counsel and Class
Members in executing this Agreement fully, finally and forever to settle, release, discharge, and hold
harmless all such matters, and all claims relating thereto which exist, hereafter may exist, or might have
existed (whether or not previously or currently asserted in any action or proceeding) with respect to the
Actions, except as otherwise stated in this Agreement.

H. Class Representatives expressly understand and acknowledge, and all Class Representatives,
Plaintiffs and Class Members will be deemed by the Final Order and Final Judgment to acknowledge and
waive Section 1542 of the Civil Code of the State of California, which provides that:

A GENERAL RELEASE DOES NOT EXTEND TO CLAIMS WHICH THE
ProposedQUESTIONS? CALL TOLL FREE [NUMBER] OR VISIT WWW.[WEBSITE]
PLEASE DO NOT CALL THE JUDGE OR THE CLERK OF COURT
CREDITOR DOES NOT KNOW OR SUSPECT TO EXIST IN HIS OR HER FAVOR
AT THE TIME OF EXECUTING THE RELEASE, WHICH IF KNOWN BY HIM OR
HER MUST HAVE MATERIALLY AFFECTED HIS OR HER SETTLEMENT
WITH THE DEBTOR.

Class Representatives, Plaintiffs and Class Members expressly waive and relinquish any and all rights and
benefits that they may have under, or that may be conferred upon them by, the provisions of Section 1542 of
the California Civil Code, or any other law of any state or territory that is similar, comparable or equivalent
to Section 1542, to the fullest extent they may lawfully waive such rights.

I. Class Representatives represent and warrant that they are the sole and exclusive owners of all
claims that they personally are releasing under this Agreement. Class Representatives further acknowledge
that they have not assigned, pledged, or in any manner whatsoever, sold, transferred, assigned or
encumbered any right, title, interest or claim arising out of or in any way whatsoever pertaining to the
Actions, including without limitation, any claim for benefits, proceeds or value under the Actions, and that
Class Representatives are not aware of anyone other than themselves claiming any interest, in whole or in
part, in the Actions or in any benefits, proceeds or values under the Actions. Class Members submitting a
Claim Form shall represent and warrant therein that they are the sole and exclusive owner of all claims that
they personally are releasing under the Settlement and that they have not assigned, pledged, or in any
manner whatsoever, sold, transferred, assigned or encumbered any right, title, interest or claim arising out of
or in any way whatsoever pertaining to the Actions, including without limitation, any claim for benefits,
proceeds or value under the Actions, and that such Class Member(s) are not aware of anyone other than
themselves claiming any interest, in whole or in part, in the Actions or in any benefits, proceeds or values
under the Actions.

J. Without in any way limiting its scope, and, except to the extent otherwise specified in the
Agreement, this Release covers by example and without limitation, any and all claims for attorneys’ fees,
costs, expert fees, or consultant fees, interest, or litigation fees, costs or any other fees, costs, and/or
disbursements incurred by any attorneys, Plaintiffs’ Class Counsel, Allocation Counsel, Class
Representatives, Plaintiffs or Class Members who claim to have assisted in conferring the benefits under
this Settlement upon the Class.

K. In consideration for the Settlement, Toyota and its past or present officers, directors,
employees, agents, attorneys, predecessors, successors, affiliates, subsidiaries, divisions, and assigns shall
be deemed to have, and by operation of the Final Approval Order shall have, released Plaintiffs’ Class
Counsel and each current and former Plaintiffs and Class Representatives from any and all causes of action
that were or could have been asserted pertaining solely to the conduct in filing and prosecuting the litigation
or in settling the Action.

L. Class Representatives and Plaintiffs’ Class Counsel hereby agree and acknowledge that the
provisions of this Release together constitute an essential and material term of the Agreement and shall be
included in any Final Order and Final Judgment entered by the Court.

M. The Parties specifically understand that there may be further pleadings, discovery requests and
responses, testimony, or other matters or materials owed by the Parties pursuant to existing pleading
requirements, discovery requests, or pretrial rules, procedures, or orders, and that, by entering into this
Agreement, the Parties expressly waive any right to receive, hear, or inspect such pleadings, testimony,
discovery, or other matters or materials.

Proposed

QUESTIONS? CALL TOLL FREE [NUMBER] OR VISIT WWW.[WEBSITE]
PLEASE DO NOT CALL THE JUDGE OR THE CLERK OF COURT

Appendices B and C – Claim Forms
Exhibit 5

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[PROPOSED] FINAL ORDER GRANTING

FINAL APPROVAL OF THE CLASS ACTION SETTLEMENT
UNITED STATES DISTRICT COURT
CENTRAL DISTRICT OF CALIFORNIA
SOUTHERN DIVISION

IN RE: TOYOTA MOTOR CORP.
UNINTENDED ACCELERATION
MARKETING, SALES PRACTICES,
AND PRODUCTS LIABILITY
LITIGATION

No. 8:10ML2151 JVS (FMOx)

THIS DOCUMENT RELATES TO:

ALL ECONOMIC LOSS CASES
[PROPOSED] FINAL ORDER
APPROVING CLASS ACTION
SETTLEMENT

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WHEREAS, the Court, having considered the Settlement Agreement dated
December __, 2012 (the “Agreement”) between and among the Class
Representatives, Plaintiffs’ Class Counsel and Defendants Toyota Motor Corporation
and Toyota Motor Sales, U.S.A., Inc. (“Toyota”), the Court’s December __, 2012
Order Granting Preliminary Approval of the Class Settlement, Directing Notice to
the Class, and Scheduling Fairness Hearing (Dkt. No. ____) (the “Preliminary
Approval Order”), having held a Fairness Hearing on [date], and having considered
all of the submissions and arguments with respect to the Settlement, and otherwise
being fully informed, and good cause appearing therefore (all capitalized terms as
defined in the Agreement);

IT IS HEREBY ORDERED AS FOLLOWS:

1. This Final Order Approving Class Action Settlement incorporates
herein and makes a part hereof, the Agreement and its exhibits, the Preliminary
Approval Order, all exhibits to the Agreement and the Preliminary Approval Order.
Unless otherwise provided herein, the terms defined in the Agreement and
Preliminary Approval Order shall have the same meanings for purposes of this Final
Order and accompanying Final Judgment.

2. The Court has personal jurisdiction over all parties in the Actions,
including, but not limited to all Class Members, and has subject matter jurisdiction
over the Actions, including without limitation jurisdiction to approve the Agreement,
grant final certification of the Class, to settle and release all claims released in the
Agreement and to dismiss the Actions and each Action with prejudice and enter final
judgment in each Action.

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I. THE SETTLEMENT CLASS

3. Based on the record before the Court, including all submissions in
support of the Settlement set forth in the Agreement, objections and responses
thereto and all prior proceedings in the Actions, as well as the Agreement itself and
its related documents and exhibits, the Court hereby certifies the following
nationwide Class (the “Class”) for settlement purposes only:

All persons, entities or organizations who, at any time as of or before [date of
Preliminary Approval Order], own or owned, purchase(d), lease(d) and/or insure(d)
the residual value, as a Residual Value Insurer, as defined in the Agreement, of all
Toyota Subject Vehicles equipped or installed with an Electronic Throttle Control
System (“ETCS”) (as listed in Appendix A to this Final Order) distributed for sale or
lease in any of the fifty States, the District of Columbia, Puerto Rico and all other
United States territories and/or possessions. Excluded from the Class are: (a)
Toyota, their officers, directors and employees; affiliates and affiliates’ officers,
directors and employees; their distributors and distributors’ officers, directors and
employees; and Toyota Dealers and Toyota Dealers’ officers and directors; (b)
Plaintiffs’ Class Counsel, Allocation Counsel and their employees; (c) judicial
officers and their immediate family members and associated court staff assigned to
this case, and all persons within the third degree of relationship to any such persons,
and (d) persons or entities who or which timely and properly excluded themselves
from the Class.

The Court finds that only those persons/entities/organizations listed on
Appendix B to this Final Order Approving Class Action Settlement have timely and
properly excluded themselves from the Class and, therefore, are not bound by this

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Final Order Approving Class Action Settlement or the accompanying Final
Judgment.

4. The Court finds, for settlement purposes and conditioned upon the entry
of the Final Order and Final Judgment and upon the occurrence of the Final Effective
Date, that the Class meets all the applicable requirements of FED. R. CIV. P. 23(a)
and (b)(3):

a. Numerosity. The Class, which is ascertainable, consists of
millions of members located throughout the United States and satisfies the
numerosity requirement of FED. R. CIV. P. 23(a)(1). Joinder of these widelydispersed,
numerous Class Members into one suit would be impracticable.

b. Commonality. There are some questions of law or fact common
to the Class with regard to the alleged activities of Toyota in this case. These issues
are sufficient to establish commonality under FED. R. CIV. P. 23(a)(2).

c. Typicality. The claims of Class Representatives are typical of
the claims of the Class Members they seek to represent for purposes of settlement.

d. Adequate Representation. Plaintiffs’ interests do not conflict
with those of absent members of the Classes, and Plaintiffs’ interests are coextensive
with those of absent Class Members. Additionally, this Court recognizes
the experience of Class Counsel Steve W. Berman of Hagens Berman Sobol Shapiro
LLP, Marc M. Seltzer of Susman Godfrey L.L.P., and Frank M. Pitre of Cotchett,
Pitre & McCarthy LLP. Plaintiffs and their counsel have prosecuted this action
vigorously on behalf of the Class. The Court finds that the requirement of adequate
representation of the Class has been fully met under FED. R. CIV. P. 23(a)(4).

e. Predominance of Common Issues. The questions of law or fact

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common to the Class Members, as pertains to consideration of the Settlement,
predominate over any questions affecting any individual Class Member.

f. Superiority of the Class Action Mechanism. The class action
mechanism provides a superior procedural vehicle for settlement of this matter
compared to other available alernatives. Class certification promotes efficiency and
uniformity of judgment because the many Class Members will not be forced to
separately pursue claims or execute settlements in various courts around the country.

5. The designated Class Representatives are as follows. Karina Brazdys,
John Moscicki, Dale Baldisseri, Peggie Perkin, Kathleen Atwater, Georgann
Whelan, Ann Fleming-Weaver, Nancy Seamons, Linda Savoy, Donald Graham,
Shirley Ward, John and Mary Ann Laidlaw, Judy Veitz, Victoria and Barry Karlin,
Elizabeth Van Zyl, Green Spot Motors Co., Deluxe Holdings Inc. and Auto Lenders
Liquidation Center, Inc. The Court finds that these Class Members have adequately
represented the Class for purposes of entering into and implementing the Agreement.

The Court reaffirms the appointment of Steve W. Berman of Hagens Berman Sobol
Shapiro LLP, Marc M. Seltzer of Susman Godfrey L.L.P., and Frank M. Pitre of
Cotchett, Pitre & McCarthy LLP as Plaintiffs’ Class Counsel.

6. In making all of the foregoing findings, the Court has exercised its
discretion in certifying the Class.

II. NOTICE TO CLASS MEMBERS

7. The record shows and the Court finds that the Class Notice has been
given to the Class in the manner approved by the Court in its Preliminary Approval
Order (Dkt. No. ___). The Court finds that such Class Notice: (i) constitutes
reasonable and the best practicable notice to Class Members under the circumstances

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of the Actions; (ii) constitutes notice that was reasonably calculated, under the
circumstances, to apprise Class Members of the pendency of the Actions and the
terms of the Agreement, their right to exclude themselves from the Class or to object
to any part of the Settlement, their right to appear at the Fairness Hearing (either on
their own or through counsel hired at their own expense) and the binding effect of
the orders and Final Order and Final Judgment in the Actions, whether favorable or
unfavorable, on all persons who do not exclude themselves from the Class, (iii)
constitutes due, adequate, and sufficient notice to all persons or entities entitled to
receive notice; and (iv) fully satisfied the requirements of the United States
Constitution (including the Due Process Clause), FED. R. CIV. P. 23 and any other
applicable law as well as complying with the Federal Judicial Center’s illustrative
class action notices.

The Court further finds that the Parties, through the Settlement Notice
Administrator, provided notice of the Settlement to the appropriate state and federal
government officials pursuant to 28 U.S.C. § 1715. Furthermore, the Court has
given the appropriate state and federal government officials the requisite ninety (90)
day time period to comment or object to the Settlement before entering its Final
Order and Final Judgment.

III. FINAL APPROVAL OF SETTLEMENT AGREEMENT

8. The Court finds that the Agreement resulted from extensive arm’s
length good faith negotiations between Plaintiffs’ Class Counsel and Toyota, through
experienced counsel, with the assistance and oversight of Settlement Special Master
Patrick A. Juneau.

9. Pursuant to FED. R. CIV. P. 23(e), the Court hereby finally approves in

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all respects the Settlement as set forth in the Agreement and finds that the
Settlement, the Agreement, the Plan of Allocation and all other parts of the
Settlement are, in all respects, fair, reasonable, and adequate, and in the best interest
of the Class and are in full compliance with all applicable requirements of the
Federal Rules of Civil Procedure, the United States Constitution (including the Due
Process Clause), the Class Action Fairness Act, and any other applicable law. The
Court hereby declares that the Agreement is binding on all Class Members, except
those identified on Appendix B, and it is to be preclusive in the Actions. The Court
also finds that Allocation Counsel adequately and vigorously represented the Class
Members’ interests in negotiating the Plan of Allocation. The decisions of the Class
Action Settlement Administrator relating to the review, processing, determination
and payment of Claims submitted pursuant to this Settlement Agreement are final
and not appealable.

10. The Court finds that the Settlement is fair, reasonable and adequate
based on the following factors, among other things: (a) there is no fraud or collusion
underlying the Settlement; (b) the complexity, expense, uncertaintity and likely
duration of litigation in the Actions favor settlement on behalf of the Class; (c) the
Settlement provides meaningful benefits to the Class; and (d) any and all other
applicable factors that favor final approval.

11. The Parties are hereby directed to implement and consummate the
Settlement according to the terms and provisions of the Agreement. In addition, the
Parties are authorized to agree to and adopt such amendments and modifications to
the Agreement as (i) shall be consistent in all material respects with this Final Order
Approving Class Action Settlement, and (ii) do not limit the rights of the Class.

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12. The Court has considered all objections, timely and proper or otherwise,
to the Settlement and denies and overrules them as without merit.

IV. DISMISSAL OF CLAIMS, RELEASE
AND INJUNCTION

13. The Actions are hereby dismissed with prejudice on the merits and
without costs to any party, except as otherwise provided herein or in the Agreement.

14. Upon entry of this Final Order Approving Class Action Settlement and
the Final Judgment, Plaintiffs, Class Representatives and each member of the Class
(except those listed on Appendix B), on behalf of themselves and any other legal or
natural persons who may claim by, through or under them, agree to fully, finally and
forever release, relinquish, acquit, discharge and hold harmless the Released Parties
from any and all claims, demands, suits, petitions, liabilities, causes of action, rights,
and damages of any kind and/or type regarding the subject matter of the Actions,
including, but not limited to, compensatory, exemplary, punitive, expert and/or
attorneys’ fees or by multipliers, whether past, present, or future, mature, or not yet
mature, known or unknown, suspected or unsuspected, contingent or non-contingent,
derivative or direct, asserted or un-asserted, whether based on federal, state or local
law, statute, ordinance, regulation, code, contract, common law, or any other source,
or any claim of any kind related arising from, related to, connected with, and/or in
any way involving the Actions, the Subject Vehicles, any and all claims involving
the ETCS, any and all claims of unintended acceleration in any manner that are, or
could have been, defined, alleged or described in the Economic Loss Master
Consolidated Complaint, the Amended Economic Loss Master Consolidated
Complaint, the Second Amended Economic Loss Master Consolidated Complaint,

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the Third Amended Economic Loss Master Consolidated Complaint, the TAMCC,
the Actions or any amendments of the Actions, including, but not limited to, the
design, manufacturing, advertising, testing, marketing, functionality, servicing, sale,
lease or resale of the Subject Vehicles. Notwithstanding the foregoing, Plaintiffs and
Class Members are not releasing claims for personal injury, wrongful death or actual
physical property damage arising from an accident involving a Subject Vehicle. By
not excluding themselves from the Action and to the fullest extent they may lawfully
waive such rights, all Class Representatives, Plaintiffs and Class Members are
deemed to acknowledge and waive Section 1542 of the Civil Code of the State of
California and any law of any state or territory that is equivalent to section 1542.
Section 1542 provides that:

A GENERAL RELEASE DOES NOT EXTEND TO CLAIMS
WHICH THE CREDITOR DOES NOT KNOW OR SUSPECT TO
EXIST IN HIS OR HER FAVOR AT THE TIME OF
EXECUTING THE RELEASE, WHICH IF KNOWN BY HIM OR
HER MUST HAVE MATERIALLY AFFECTED HIS OR HER
SETTLEMENT WITH THE DEBTOR.

15. The Court orders that the Agreement shall be the exclusive remedy for
all claims released in the Settlement for all Class Members not listed on Appendix B.
Therefore, except for those listed on Exhibit B, all Class Members and their
representatives, are hereby permanently barred and enjoined from, either directly,
representatively, or in any other capacity instituting, commencing, filing,
maintaining, continuing or prosecuting against any of the Released Parties (as that
term is defined in the Agreement) any action or proceeding in any court or tribunal
asserting any of the matters, claims or causes of action described. Pursuant to 28
U.S.C. §§ 1651(a) and 2283, the Court finds that issuance of this permanent

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injunction is necessary and appropriate in aid of its continuing jurisdiction and
authority over the Settlement and the Actions.

V. CLASS SETTLEMENT FUND

16. The Court finds and confirms that the Escrow Account is a “qualified
settlement fund” as defined in Section 1.468B-1(c) of the Treasury Regulations in
that it satisfies each of the following requirements:
(a) The Escrow Account is established pursuant to an Order of this Court
and is subject to the continuing jurisdiction of this Court;
(b) The Escrow Account is established to resolve or satisfy one or more
claims that have resulted or may result from an event that has occurred and that has
given rise to at least one claim asserting liabilities; and
(c) The assets of the Escrow Account are segregated from other assets of
Defendants, the transferor of the payment to the Settlement Funds and controlled by
an Escrow Agreement.

17. Under the “relation back” rule provided under Section 1.468B-1(j)(2)(i)
of the Treasury Regulations, the Court finds that:

(a) The Escrow Account met the requirements of Paragraphs 16(a) and
16(b) of this Order prior to the date of this Order approving the establishment of the
Escrow Account subject to the continued jurisdiction of this Court; and
(b) Defendants and the Class Action Settlement Administrator may jointly
elect to treat the Escrow Account as coming into existence as a “qualified settlement
fund” on the latter of the date the Escrow Account met the requirements of
Paragraphs 16(b) and 16(c) of this Order or January 1 of the calendar year in which
all of the requirements of paragraph 16 of this Order are met. If such a relation-back

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election is made, the assets held by the Settlement Funds on such date shall be
treated as having been transferred to the Escrow Account on that date.

VI. OTHER PROVISIONS

18. Without affecting the finality of this Final Order Approving Class
Action Settlement or the accompanying Final Judgment, the Court retains continuing
and exclusive jurisdiction over the Actions and all matters relating to the
administration, consummation, enforcement and interpretation of the Agreement and
of this Final Order Approving Class Action Settlement and the accompanying Final
Judgment, to protect and effectuate this Final Order Approving Class Action
Settlement and the accompanying Final Judgment, and for any other necessary
purpose. The Parties, the Class Representatives, and each Class Member not listed
on Appendix B are hereby deemed to have irrevocably submitted to the exclusive
jurisdiction of this Court, for the purpose of any suit, action, proceeding or dispute
arising out of or relating to the Agreement or the applicability of the Agreement,
including the Exhibits thereto, and only for such purposes.

19. In the event that the Final Effective Date does not occur, certification of
the Class shall be automatically vacated and this Final Order Approving Class
Action Settlement and the accompanying Final Judgment, and other orders entered in
connection with the Settlement and releases delivered in connection with the
Settlement, shall be vacated and rendered null and void as provided by the
Agreement.

20. Without further order of the Court, the Parties may agree to reasonably
necessary extensions of time to carry out any of the provisions of the Agreement.
Likewise, the Parties may, without further order of the Court, agree to and adopt
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such amendments to the Agreement (including exhibits) and the Plan of Allocation
as are consistent with this Final Order Approving Class Action Settlement and the
accompanying Final Judgment and do not limit the rights of Class Members under
the Settlement Agreement.

21. Nothing in this Final Order Approving Class Action Settlement or the
accompanying Final Judgment shall preclude any action in this Court to enforce the
terms of the Agreement.

22. Neither this Final Order Approving Class Action Settlement nor the
accompanying Final Judgment (nor any document related to the Agreement) is or
shall be construed as an admission by the Parties. Neither the Agreement (or its
exhibits), the Plan of Allocation, this Final Order Approving Class Action
Settlement, the accompanying Final Judgment, or any document related to the
Agreement shall be offered in any proceeding as evidence against any of the Parties
of any fact or legal claim; provided, however, that Toyota and the Released Parties
may file any and all such documents in support of any defense that the Agreement,
this Final Order Approving Class Action Settlement, the accompanying Final
Judgment and any other related document is binding on and shall have res judicata,
collateral estoppel, and/or preclusive effect in any pending or future lawsuit by any
person who is subject to the release described above in Paragraph 14 asserting a
released claim against any of the Released Parties.

24. The Class Action Settlement Administrator shall fulfill any
escheatment obligations that arise.

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25. A copy of this Final Order Approving Class Action Settlement
shall be filed in, and applies to, the Actions.

SO ORDERED this ____ day of ________ 2013.
____________________________

Honorable James V. Selna

Judge of the United States District Court
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APPENDIX A

SUBJECT VEHICLES

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APPENDIX B

PERSONS, ENTITIES AND ORGANIZATIONS THAT HAVE PROPERLY
EXCLUDED THEMSELVES FROM THE CLASS

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UNITED STATES DISTRICT COURT
CENTRAL DISTRICT OF CALIFORNIA
SOUTHERN DIVISION

IT IS on this ______ day of ______________________ 2013, HEREBY
ADJUDGED AND DECREED PURSUANT TO FEDERAL RULE OF CIVIL
PROCEDURE 58 AS FOLLOWS:

(1) On this date, the Court entered a Final Order Approving Class
Action Settlement (Dkt, No. __);

(2) For the reasons stated in the Court’s Final Order Approving Class
Action Settlement, judgment is entered in accordance with the Final Order
Approving Class Action Settlement and the following Actions are dismissed with
prejudice: [include list of actions from Exhibit to Settlement
Agreement];

and

(3) A copy of this Final Judgment shall be filed in, and applies to, all

IN RE: TOYOTA MOTOR CORP.
UNINTENDED ACCELERATION
MARKETING, SALES PRACTICES,
AND PRODUCTS LIABILITY
LITIGATION
No. 8:10ML2151 JVS (FMOx)
THIS DOCUMENT RELATES TO:
ALL ECONOMIC LOSS CASES
[PROPOSED] FINAL JUDGMENT

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of the Actions listed above.

SO ORDERED this ____ day of ________ 2013.
____________________________
Honorable James V. Selna

Judge of the United States District Court

Exhibit 6

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REED SMITH LLP

A limited liability partnership formed in the State of Delaware

UNITED STATES DISTRICT COURT
CENTRAL DISTRICT OF CALIFORNIA

SOUTHERN DIVISION

IT IS on this ______ day of ______________________ 2013, HEREBY
ADJUDGED AND DECREED PURSUANT TO FEDERAL RULE OF CIVIL
PROCEDURE 58 AS FOLLOWS:

(1) On this date, the Court entered a Final Order Approving Class
Action Settlement (Dkt, No. __);

(2) For the reasons stated in the Court’s Final Order Approving Class
Action Settlement, judgment is entered in accordance with the Final Order Approving
Class Action Settlement and the following Actions are dismissed with prejudice:
[include list of actions from Exhibit to Settlement Agreement];

and

(3) A copy of this Final Judgment shall be filed in, and applies to, all
of the Actions listed above.

IN RE: TOYOTA MOTOR CORP.
UNINTENDED ACCELERATION
MARKETING, SALES PRACTICES,
AND PRODUCTS LIABILITY
LITIGATION

No. 8:10ML2151 JVS (FMOx)

THIS DOCUMENT RELATES TO:
ALL ECONOMIC LOSS CASES
[PROPOSED] FINAL JUDGMENT

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REED SMITH LLP

A limited liability partnership formed in the State of Delaware
SO ORDERED this ____ day of ________ 2013.
____________________________

Honorable James V. Selna

Judge of the United States District Cour
Exhibit 7

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[PROPOSED] ORDER GRANTING PRELIMINARY APPROVAL OF THE
CLASS SETTLEMENT, DIRECTING NOTICE TO THE CLASS
UNITED STATES DISTRICT COURT
CENTRAL DISTRICT OF CALIFORNIA
SOUTHERN DIVISION

IN RE: TOYOTA MOTOR CORP.
UNINTENDED ACCELERATION
MARKETING, SALES PRACTICES,
AND PRODUCTS LIABILITY
LITIGATION

No. 8:10ML2151 JVS (FMOx)

THIS DOCUMENT RELATES TO:
ALL ECONOMIC LOSS CASES
[PROPOSED] ORDER, INTER ALIA,
GRANTING PRELIMINARY
APPROVAL OF CLASS
SETTLEMENT, PROVISIONALLY
CERTIFYING SETTLEMENT
CLASS, DIRECTING NOTICE TO
THE CLASS AND SCHEDULING
FAIRNESS HEARING.

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WHEREAS, this matter has come before the Court pursuant to Plaintiffs’
Motion for Entry of an Order Granting Preliminary Approval of the Class Settlement
and Approving the Form and Method of Notice to the Class (the “Motion”);
WHEREAS, the Court finds that it has jurisdiction over the Actions and each
of the parties for purposes of settlement and asserts jurisdiction over the Class
Members for purposes of effectuating this settlement and releasing their claims (all
capitalized terms as defined in the Settlement Agreement attached hereto as Exhibit
1); and

WHEREAS, this Court has considered all of the submissions related to the
Motion and is otherwise fully advised in the premises;

IT IS HEREBY ORDERED AS FOLLOWS:

I. PRELIMINARY APPROVAL OF SETTLEMENT AGREEMENT

1. The terms of the Settlement Agreement dated December __, 2012,
including all exhibits thereto (the “Agreement”), which is attached to the Motion as
Exhibit 1, are preliminarily approved as fair, reasonable and adequate, are sufficient
to warrant sending notice to the Class, and are subject to further consideration
thereof at the Fairness Hearing referenced below. This Order incorporates herein the
Agreement, and all of its exhibits and related documents. Unless otherwise provided
herein, the terms defined in the Agreement shall have the same meanings in this
Order. The Agreement was entered into only after extensive arm’s length
negotiations by experienced counsel and with the assistance and oversight of
Settlement Special Master Patrick A. Juneau. The Court finds that the settlement
embodied in the Agreement (“the Settlement”) is sufficiently within the range of
reasonableness so that notice of the Settlement should be given as provided in the

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Agreement and this Order. In making this determination, the Court has considered
the current posture of this litigation and the risks and benefits to the Parties involved
in both settlement of these claims and continuation of the litigation.

II. THE CLASS, CLASS REPRESENTATIVES AND CLASS COUNSEL

2. The Court provisionally certifies the following Class for settlement
purposes only (the “Class”): all persons, entities or organizations who, at any time as
of or before the entry of this Order, own or owned, purchase(d), lease(d) and/or
insure(d) the residual value, as a Residual Value Insurer, of all Toyota, Lexus and
Scion Subject Vehicles equipped or installed with an Electronic Throttle Control
System (“ETCS”) distributed for sale or lease in any of the fifty States, the District
of Columbia, Puerto Rico and all other United States territories and/or possessions.
Excluded from the Class are: (a) Toyota, their officers, directors and employees;
their affiliates and affiliates’ officers, directors and employees; their distributors and
distributors’ officers, directors and employees; and Toyota Dealers and Toyota
Dealers’ officers and directors; (b) Plaintiffs’ Class Counsel, Allocation Counsel and
their employees; (c) judicial officers and their immediate family members and
associated court staff assigned to this case, and all persons within the third degree of
relationship to any such persons; and (d) persons or entities who or which timely and
properly exclude themselves from the Class as provided in this Order.

3. The “Subject Vehicles” are listed in Exhibit 10 to the Agreement, which
is expressly incorporated in this Order.

4. The Court preliminarily finds, for settlement purposes only and
conditioned upon the entry of this Order and the Final Order and Final Judgment, the
terms of the Settlement Agreement, and the occurrence of the Final Effective Date,
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that the Class meets all the applicable requirements of FED. R. CIV. P. 23(a) and
(b)(3), and hereby provisionally certifies the Class for settlement purposes only. The
Court preliminarily finds, in the specific context of this Settlement, that: (a) the
number of Class Members is so numerous that their joinder in one lawsuit would be
impractical; (b) there are some questions of law or fact common to the Class that are
sufficient for settlement purposes; (c) the claims of Class Representatives are typical
of the claims of the Class Members they seek to represent for purposes of settlement;
(d) the Class Representatives have fairly and adequately represented the interests of
the Class for settlement purposes and the Class Representatives have retained
experienced counsel to represent them and the Class – Steve W. Berman of Hagens
Berman Sobol Shapiro LLP, Marc M. Seltzer of Susman Godfrey L.L.P., and Frank
M. Pitre of Cotchett, Pitre & McCarthy LLP whom the Court finds have satisfied the
requirements of Fed. R. Civ. P. 23(a)(4) and 23(g); (e) the questions of law or fact
common to the Class, as pertains to consideration of the Settlement, predominate
over any questions affecting any individual Class Member; and (f) a class action is
superior to the other available methods for the fair and efficient adjudication of the
controversy through settlement.

5. The Court designates the following plaintiffs as Class Representatives:
Karina Brazdys, John Moscicki, Dale Baldisseri, Peggie Perkin, Kathleen Atwater,
Georgann Whelan, Ann Fleming-Weaver, Nancy Seamons, Linda Savoy, Donald
Graham, Shirley Ward, John and Mary Ann Laidlaw, Judy Veitz, Victoria and Barry
Karlin, Elizabeth Van Zyl, Green Spot Motors Co., Deluxe Holdings Inc. and Auto
Lenders Liquidation Center, Inc.

6. The Court further preliminarily finds that the following counsel, which

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the Court previously appointed interim Co-Lead Counsel, fairly and adequately
represent the interests of the Class for settlement purposes and hereby appoints them
as counsel for the Class pursuant to FED. R. CIV. P. 23(g):

Steve W. Berman

Hagens Berman Sobol Shapiro LLP

1918 Eighth Avenue, Suite 3300

Seattle, WA 98101

Marc M. Seltzer

Susman Godfrey L.L.P.

1901 Avenue of the Stars, Suite 950

Los Angeles, CA 90067

Frank M. Pitre

Cotchett, Pitre & McCarthy, LLP

840 Malcolm Road, Suite 200

Burlingame, CA 94010

7. If the Agreement is not finally approved by the Court, or for any reason
the Final Order and Final Judgment are not entered as contemplated in the
Agreement, or the Agreement is terminated pursuant to its terms for any reason or
the Final Effective Date does not occur for any reason, then:

(a) All orders and findings entered in connection with the Agreement
shall become null and void and have no force or effect whatsoever, shall not be used
or referred to for any purposes whatsoever, and shall not be admissible or
discoverable in this or any other proceeding;

(b) The provisional certification of the Class pursuant to this Order
shall be vacated automatically and the Actions shall proceed as though the Class had
never been certified;

(c) Nothing contained in this Order is to be construed as a

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presumption, concession or admission by or against Toyota or Plaintiffs of any
default, liability or wrongdoing as to any facts or claims alleged or asserted in the
Actions, or in any action or proceeding, including but not limited to, factual or legal
matters relating to any effort to certify the Actions or any Action as a class action;

(d) Nothing in this Order pertaining to the Agreement, including any
of the documents or statements generated or received pursuant to the claims
administration process, shall be used as evidence in any further proceeding in the
Actions, including, but not limited to, motions or proceedings seeking treatment of
the Actions or any Action as a class action;

(e) All of the Court’s prior Orders having nothing whatsoever to do
with class certification or the Agreement shall, subject to this Order, remain in force
and effect; and

(f) The terms in Section IX.D of the Settlement Agreement shall
survive.

III. NOTICE TO CLASS MEMBERS

8. The Court has considered the Class Notice in the Agreement and finds
that the Class Notice and methodology as described in the Settlement Agreement and
in the Declaration of the Settlement Notice Administrator; (a) meet the requirements
of due process and FED. R. CIV. P. 23(c) and (e); (b) constitutes the best notice
practicable under the circumstances to all persons entitled to notice, and (c) satisfies
the Constitutional requirements regarding notice. In addition, the forms of notice (a)
apprise Class Members of the pendency of the Action, the terms of the proposed
settlement, their rights and deadlines under the Settlement; (b) are written in simple
terminology; (c) are readily understandable by Class Members; and (d) comply with

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the Federal Judicial Center’s illustrative class action notices. The Court approves the
Class Notice and methodology as described in the Settlement Agreement and in the
Declaration of the Settlement Notice Administrator in all respects, and it hereby
orders that notice be commenced no later than [March 1, 2013]. The Court
understands, however, that the Parties must obtain Toyota customer data from a
third-party (as provided below) before distribution of the Short Form Notices, and
that the time within which that data can be obtained is not certain.

The Class Action Settlement Administrator shall send the Short Form Notices,
substantially in forms attached to the Agreement as Exhibits 12 and 13, by U.S.
Mail, proper postage prepaid: (i) to current registered owners of Subject Vehicles;
and (ii) registered owners of Subject Vehicles during the period September 1, 2009
through December 31, 2010, as identified by data to be forwarded to the Class
Action Settlement Administrator by R.L. Polk & Co. The mailing of Exhibit 13 will
be done as part of efforts to notify Class Members who may be eligible for payment
from the Alleged Diminished Value Fund pursuant to Section II(A)(2) of the
Agreement. The mailings of the Short Form Notices to the persons and entities
identified by R.L. Polk & Co. shall be substantially completed by [April 5, 2013].

The Parties are hereby ordered to obtain such vehicle registration information
through R.L. Polk & Co., which specializes in obtaining such information from, inter
alia, the applicable Departments of Motor Vehicles.

The Court further approves, as to form and content, the Short Form Notices,
the Long Form Notice, and the Summary Settlement Notice. The Court further
approves the establishment of an internet website for the Settlement. The website
shall include documents relating to the Settlement, Orders of the Court relating to the

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Settlement and such other information as Toyota and Class Counsel mutually agree
would be beneficial to potential Class Members. Toyota shall pay the costs of the
Class Notice in accordance with the Agreement, with the potential for partial or
complete reimbursement as set forth in the Agreement. The Parties are hereby
authorized to establish the means necessary to implement the notice and/or other
terms of the Agreement.

9. The Class Action Settlement Administrator is Gilardi & Company,
LLC. Responsibilities of the Class Action Settlement Administrator are found in the
Agreement. Not later than [10 days] before the date of the Fairness Hearing, the
Class Action Settlement Administrator shall file with the Court (a) a list of those
persons who have opted out or excluded themselves from the Settlement; (b) the
details outlining the scope, methods and results of the Class Notice.

10. The Settlement Notice Administrator is Katherine Kinsella of Kinsella
Media, LLC. Responsibilities of the Settlement Notice Administrator are found in
the Agreement. Not later than [10 days] before the date of the Fairness Hearing, the
Settlement Notice Administrator shall file with the Court the details outlining the
scope, methods and results of the parts of the Class Notice for which she is
responsible under the Agreement.

IV. REQUEST FOR EXCLUSION FROM THE CLASS

11. Class Members who wish to be excluded from the Class must mail a
written request for exclusion to the Class Action Settlement Administrator postmarked
no later than [May 6, 2013]. Any request for exclusion must be signed by
the potential Class Member and contain the following information: name, address,
and telephone number of the Class Member; the model year, make, model, and

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vehicle identification number (“VIN number”) of the Class Member’s Subject
Vehicle(s), the Class Member’s signature and statement that the Class Member
wants to be excluded from the Class or Settlement in In re: Toyota Motor Corp.
Unintended Acceleration Marketing, Sales Practices and Products Liability
Litigation and mention the case number (No. 8:10ML2151 JVS (FMOx)).

12. Potential Class Members who timely and validly exclude themselves
from the Class shall not be bound by the Agreement, the Settlement, or the Final
Order and Final Judgment. If a potential Class Member files a request for exclusion,
he/she/it may not assert an objection to the Settlement. The Class Action Settlement
Administrator shall provide copies of any requests for exclusion to Class Counsel
and Toyota’s Counsel as provided in the Agreement.

13. Any potential Class Member that does not properly and timely exclude
himself/herself/itself from the Class shall remain a Class Member and shall be bound
by all the terms and provisions of the Agreement and the Settlement and the Final
Order and Final Judgment, whether or not such Class Member objected to the

Settlement or submits a Claim Form(s).

V. OBJECTIONS

14. Any Class Member who has not requested exclusion and who wishes to
object to the Settlement or Fee Request or incentive payments to the Plaintiffs/Class
Representatives must deliver to Class Counsel and Toyota’s Counsel identified
below so that it is received by [May 6, 2013] and on file with the Clerk of Court on
or before [May 6, 2013] a written statement of his/her/its objection. To be
considered by the Court, any objection must be in writing and include the following
information: a statement of objection to the settlement in In re: Toyota Motor Corp.

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Unintended Acceleration Marketing, Sales Practices, and Products Liability
Litigation, Case No. 8:10ML2151 JVS (FMOx); the name, address, and telephone
number of the objecting Class member; the make, model year, and VIN number of
the objecting Class member’s Subject Vehicle(s); the specific reasons why the Class
member objects to the settlement (including any legal support); any evidence or
other information the objecting Class Member intends to rely on; a statement
whether the objecting Class Member intends to appear at the Fairness Hearing; a list
of the Subject Vehicles to which the objection applies; the Class Member’s signature
and proof of purchase, ownership, lessee status or status as a Residual Value Insurer
of a Subject Vehicle. No objection that fails to satisfy these requirements and any
other requirements found in the Long Form Notice shall be considered by the Court.

Clerk of Court

United States District Court

Central District of California

411 West Fourth Street,

Room 1053

Santa Ana, CA 92701-4516

Class Counsel

Steve W. Berman

Hagens Berman Sobol &

Shapiro LLP

1918 Eighth Ave., Suite
3300

Seattle, WA 98101

Toyota’s Counsel

John P. Hooper

Reed Smith LLP

599 Lexington Avenue
22nd Floor

New York, NY 10022

J. Gordon Cooney, Jr.

Morgan Lewis & Bockius
LLP

1701 Market St.

Philadelphia, PA 19103-
2921

VI. FAIRNESS HEARING

15. The Fairness Hearing will be held on [Wednesday, June 12, 2013 at
10:00 am Pacific Time] before this Court, at the United States District Court,
Central District of California, 411 West Fourth Street, Santa Ana, California 92701,

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to consider, inter alia, the following: (a) whether the Class should be finally
certified for settlement purposes; (b) whether the Settlement and Agreement should
be finally approved as fair, reasonable and adequate. The Court will rule on Class
Counsel’s application for attorneys’ fees and expenses (“Fee Request”) and the
Plaintiffs/Class Representatives’ requests for incentive awards at or after that time.
16. On or before [April 23, 2013], Class Counsel shall file with the Court
any memoranda or other materials in support of final approval of the Settlement and
also on or before [April 23, 2013], Class Counsel shall file any Fee Request with the
Court. Any reply briefs relating to final approval of the Settlement or Class
Counsel’s Fee Request or responses to objections to the Settlement shall be filed on
or before [May 28, 2013].

17. Any Class Member who has not excluded himself/herself/itself from the
Class may appear at the Fairness Hearing in person or by counsel (at his/her/its own
expense) and may be heard, to the extent allowed by the Court, either in support of
or in opposition to the Settlement and/or the Fee Request. However, no Class
Member shall be heard at the Fairness Hearing unless such person/entity files a
“Notice of Intent to Appear in In re: Toyota Motor Corp. Unintended Acceleration
Marketing, Sales Practices, and Products Liability Litigation” with the Clerk of
Court on or before [May 6, 2013] and delivers the same to Class Counsel and
Toyota’s Counsel so that it is received by [May 6, 2013]. In the notice, the Class
Member must include his/her/its name, address, telephone number, the make, model
year, and VIN number of his/her/its Subject Vehicle(s), and a signature.

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Clerk of Court

United States District Court

Central District of California

411 West Fourth Street,

Room 1053

Santa Ana, CA 92701-4516

Class Counsel

Steve W. Berman

Hagens Berman Sobol &
Shapiro LLP

1918 Eighth Ave., Suite
3300

Seattle, WA 98101

Toyota’s Counsel

John P. Hooper

Reed Smith LLP

599 Lexington Avenue

22nd Floor

New York, NY 10022

J. Gordon Cooney, Jr.

Morgan Lewis & Bockius
LLP

1701 Market St.
Philadelphia, PA 19103-
2921

Class Members who intend to object at the Fairness Hearing must also have
followed the procedures for objecting in writing as set forth in Paragraph 14.

18. The date and time of the Fairness Hearing shall be subject to
adjournment by the Court without further notice to the Class Members other than
that which may be posted at the Court, on the Court’s website, and/or the settlement
website at www.[settlement website].com.

19. Any Class Member may hire an attorney at his/her/its own expense to
appear in the Action. Such attorney shall serve a Notice of Appearance on Class
Counsel and Toyota’s Counsel listed in Paragraph 17 above so that it is received on
or before [May 6, 2013] and file it with the Court on or before [May 6, 2013].

VII. STAY OF LITIGATION

20. Pending the Fairness Hearing and the Court’s decision whether to
finally approve the Settlement, all proceedings in the Actions, other than proceedings
necessary to carry out or enforce the Agreement or this Order, are stayed and

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suspended, until further order from this Court

21. Pending the Fairness Hearing and the Court’s decision whether to
finally approve the Settlement, no Class Member, either directly, representatively, or
in any other capacity (other than a Class Member who validly and timely elects to be
excluded from the Class), shall commence, continue or prosecute against any of the
Released Parties (as that term is defined in the Agreement) any action or proceeding
in any court or tribunal asserting any of the matters, claims or causes of action that
are to be released in the Agreement. Pursuant to 28 U.S.C. § 1651(a) and 2283, the
Court finds that issuance of this preliminary injunction is necessary and appropriate
in aid of the Court’s continuing jurisdiction and authority over the Actions. Upon
final approval of the Settlement, all Class Members who do not timely and validly
exclude themselves from the Class shall be forever enjoined and barred from
asserting any of the matters, claims or causes of action released pursuant to the
Agreement against any of the Released Parties, and any such Class Member shall be
deemed to have forever released any and all such matters, claims, and causes of
action as provided for in the Agreement.

VIII. CLASS SETTLEMENT FUND

22. The Court finds that the Escrow Account is to be a “qualified settlement
fund” as defined in Section 1.468B-1(c) of the Treasury Regulations in that it
satisfies each of the following requirements:

(a) The Escrow Account is to be established pursuant to an Order of this
Court and is subject to the continuing jurisdiction of this Court;

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(b) The Escrow Account is to be established to resolve or satisfy one or
more claims that have resulted or may result from an event that has occurred and that
has given rise to at least one claim asserting liabilities; and
(c) The assets of the Escrow Account are to be segregated from other assets
of Defendants, the transferor of the payment to the Settlement Funds and controlled
by an Escrow Agreement.

23. Under the “relation back” rule provided under Section 1.468B-1(j)(2)(i)
of the Treasury Regulations, the Court finds that Defendants and the Class Action
Settlement Administrator may jointly elect to treat the Escrow Account as coming
into existence as a “qualified settlement fund” on the latter of the date the Escrow
Account meets the requirements of Paragraphs 22(b) and 22(c) of this Order or
January 1 of the calendar year in which all of the requirements of Paragraph 22 of
this Order are met. If such a relation-back election is made, the assets held by the
Settlement Funds on such date shall be treated as having been transferred to the
Escrow Account on that date.

IX. CONFIDENTIALITY

24. Any information received by the Class Action Settlement
Administrator, the Settlement Notice Administrator, or any other person in
connection with the Settlement that pertains to personal information regarding a
particular Class Member (other than objections or requests for exclusion) shall not be
disclosed to any other person or entity other than Class Counsel, Toyota, Toyota’s
Counsel, the Court and as otherwise provided in the Agreement.

X. OTHER PROVISIONS

25. The Parties are authorized to take all necessary and appropriate steps to

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establish the means necessary to implement the Agreement.

26. The deadlines set forth in this Order, including, but not limited to,
adjourning the Fairness Hearing, may be extended by Order of the Court, for good
cause shown, without further notice to the Class Members – except that notice of any
such extensions shall be included on the Settlement website [insert website address].
Class Members should check the Settlement website regularly for updates and
further details regarding extensions of these deadlines.

27. Class Counsel and Toyota’s Counsel are hereby authorized to use all
reasonable procedures in connection with approval and administration of the
Settlement that are not materially inconsistent with this Order or the Agreement,
including making, without further approval of the Court, minor changes to the
Agreement, to the form or content of the Class Notice or to any other exhibits that
the parties jointly agree are reasonable or necessary.

28. This Court shall maintain continuing jurisdiction over these settlement
proceedings to assure the effectuation thereof for the benefit of the Class.

SO ORDERED this ____ day of 2013.
____________________________

Honorable James V. Selna

Judge of the United States District Court

Exhibit 8

Proposed

If You Currently or Previously Owned, Purchased, or Leased
Certain Toyota, Lexus, or Scion Vehicles,

You Could Get Benefits from a Class Action Settlement.

There is a proposed settlement in a class action lawsuit against Toyota Motor Corp. and Toyota Motor
Sales, U.S.A., Inc. (“Toyota”) concerning certain vehicles with electronic throttle control systems (“ETCS”).
Those included in the settlement have legal rights and options and deadlines by which they must exercise
them.

What is the lawsuit about?

The lawsuit alleges that certain Toyota, Lexus, and Scion vehicles equipped with ETCS are defective and
can experience unintended acceleration. Toyota denies that it has violated any law, denies that it engaged
in any and all wrongdoing, and denies that its ETCS is defective. The Court did not decide which side was
right. Instead, the parties decided to settle.

Am I Included in the proposed settlement?

Subject to certain limited exclusions, you are included if as of [date],

 You own or owned, purchase(d), and/or lease(d) a “Subject Vehicle” that was

 Distributed for sale or lease in any of the fifty States, the District of Columbia, Puerto Rico and all
other United States territories and/or possessions or

 Were a company that insured Subject Vehicles for residual value.

The Subject Vehicles are identified at the settlement website and in the full settlement notice. The class
includes persons, entities and/or organizations.
This settlement does not involve claims of personal injury or property damage.

What does the settlement provide?

The proposed settlement provides for: (a) cash payments from two funds totaling $500 million for certain
eligible class members; (b) free installation of a brake override system on certain Subject Vehicles; (c) a
customer support program to correct any defect in materials or workmanship of certain vehicle parts for
other eligible class members; and (d) at least $30 million toward automobile safety research and
education. Some of these benefits require action by class members by or before certain deadlines.
Payments will vary depending upon several factors such as the number of claims submitted, the amounts
claimed, and other adjustments and deductions.

What are my options?

If you do nothing, you will remain in the class and will not be able to sue Toyota about the issues in the
lawsuit, but you may not receive certain benefits for which you may be eligible.
You can exclude yourself by [date], if you don’t want to be part of the settlement. You won’t get any
settlement benefits, but you keep the right to Toyota about the issues in the lawsuit.
You can submit a claim form by [date], if you don’t exclude yourself, for any benefits for which you are
eligible and which require a claim form.

You can object to all or part of the settlement by [date], if you don’t exclude yourself.
Proposed

The full notice describes how to exclude yourself, submit a claim form and/or object.

The Court will hold a fairness hearing on [date] at [time] to (a) consider whether the proposed settlement
is fair, reasonable, and adequate, and (b) decide the plaintiffs’ lawyers’ request for fees up to $200 million
and expenses up to $27 million and awards for Named Plaintiffs and Class Representatives. You may
appear at the hearing, but you are not required to and you may hire an attorney to appear for you, at your
own expense.

For More information or a claim form 1-800-000-0000 www.website.com

Exhibit 9

Proposed

UNITED STATES DISTRICT COURT
CENTRAL DISTRICT OF CALIFORNIA
SOUTHERN DIVISION

I, Katherine Kinsella, being duly sworn, hereby declare as follows:

1. I am President of Kinsella Media, LLC (“KM”), an advertising and legal notification firm
in Washington, D.C. specializing in the design and implementation of notification
programs to reach unidentified putative class members primarily in consumer and
antitrust class actions and claimants in bankruptcy and mass tort litigation. My business
address is 2120 L Street, NW, Suite 860, Washington, D.C. 20037. My telephone
number is (202) 686-4111.

2. I submit this declaration at the request of the parties in connection with In Re: Toyota
Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability
Litigation. A detailed Notice Plan is attached as Exhibit 1.

3. This declaration is based upon my personal knowledge and upon information provided by
the parties, my associates, and staff. The information is of a type reasonably relied upon
in the fields of advertising, media and communications.

4. KM has developed and directed some of the largest and most complex national
notification programs in the country. The scope of the firm’s work includes notification

IN RE: TOYOTA MOTOR CORP.
UNINTENDED ACCELERATION
MARKETING, SALES PRACTICES, AND
PRODUCTS LIABILITY LITIGATION

No. 8:10ML2151 JVS (FMOx)

THIS DOCUMENT RELATES TO:
ALL ECONOMIC LOSS CASES
DECLARATION OF KATHERINE
KINSELLA

Proposed

DECLARATION OF KATHERINE KINSELLA

programs in antitrust, bankruptcy, consumer fraud, mass tort, and product liability
litigation. Specific cases have involved, among others, asbestos, breast implants, home
siding and roofing products, infant formula, pharmaceuticals, polybutylene plumbing,
tobacco, and Holocaust claims. The firm has developed or consulted on over 700
notification programs and has placed over $300 million in media notice. Selected cases
are attached as Exhibit 2.

5. Courts have admitted expert testimony from KM on our firm’s quantitative and
qualitative evaluations of notice programs. Many Courts have commented favorably, on
the record, regarding the effectiveness of notice plans prepared by KM. Selected judicial
comments are attached as Exhibit 3.

6. I have testified as an expert at trial and in a deposition in Engle v. R. J. Reynolds
Tobacco, No. 94-08273 (Fla. Cir. Ct., Dade County). I have been deposed as an expert in
In re NASDAQ Market-Makers Antitrust Litigation, M21-68 RWS), 94-CIV. 3994
(RWS), M.D.L. No. 123 (S.D.N.Y.), In re Dow Corning, No. 95-20512 (Bankr. E.D.
Mich.), Georgine v. Amchem, Inc. et al., C.A. No. 93-CV-0215 (E.D. Pa.), In re W. R.
Grace & Co., Chapter 11, No.01-01139 (JJF) (Bankr. D. Del.) and Gross v. Chrysler
Corp., No. 061170 (Md. Cir. Ct., Montgomery County). I have testified in court in In re
Swan Transportation Company, Chapter 11, Case No. 01-11690, Cox v. Shell Oil Co.,
No. 18,844 (Tenn. Ch. Ct., Obion County), Ahearn v. Fibreboard Corporation, C.A. No.
6:93cv526 (E.D. Tex.) and Continental Casualty Co. v. Rudd, C.A. No. 6:94cv458 (E.D.
Tex.).

7. I am the author of the following:
Proposed

DECLARATION OF KATHERINE KINSELLA

a. The Plain Language Tool Kit for Class Action Notice, published in 2010 in A
Practitioner's Guide to Class Actions, as well as the October 25, 2002 issue of
Class Action Litigation Report;

b. Quantifying Notice Results in Class Actions – the Daubert/Kumho Mandate,
published in 2010 in A Practitioner's Guide to Class Actions, as well as the July
27, 2001 issue of Class Action Litigation Report and the August 7, 2001 issue of
The United States Law Week;

c. The Ten Commandments of Class Action Notice, published in the September 24,
1997 issue of the Toxics Law Reporter.

8. I am also co-author of the following:

a. Class Notice and Claims Administration, published in 2010 in The International
Handbook on Private Enforcement of Competition Law;

b. REALITY CHECK: The State of New Media Options for Class Action
Notice, published in 2010 in A Practitioner's Guide to Class Actions, as well as
the February 26, 2010 issue of the Class Action Litigation Report;

c. How Viable Is the Internet for Class Action Notice, published in the March 25,
2005 issue of Class Action Litigation Report.

9. KM was retained to design and implement the Notice Program in this litigation. I submit
this declaration to describe the elements of the Notice Program.

Proposed Notice Program

10. A two-part notification program was designed and includes:

a. Direct notice by first-class mail to current registered owners of covered Toyota,
Lexus and Scion vehicles and certain previous registered owners who were
Proposed

DECLARATION OF KATHERINE KINSELLA

registered owners during a specified period, based on records available through
R.L. Polk & Co.; and

b. Broad notice through the use of paid media including national newspaper
supplements, national consumer magazines, newspapers in US territories, and
Internet advertising.

Direct Mail Notice

11. Direct mail notice will consist of mailing the Short Form Notice to specified Class
Members to inform them of their rights and how they may participate in the class action.
The Short Form Notice will prominently feature the toll-free number and Settlement
website. The Short Form Notice directed to current registered owners of covered
vehicles also includes a tear-off Notice that Class Members can keep in their glove box to
remind them about the future benefits available through the Customer Support Program.

Paid Media Methodology

12. To design the paid media segment of the Notice Program, KM analyzed syndicated data
available from the GfK MRI 2012 Doublebase Survey and comScore, Inc. GfK MRI is a
nationally accredited media and marketing research firm that provides syndicated data on
audience size, composition, and other relevant factors pertaining to major media
including broadcast, magazines, newspapers, and outdoor advertising. MRI provides a
single-source measurement of major media, products, services, and in-depth consumer
demographic and lifestyle/psychographic characteristics. comScore, Inc. is a source of
Internet audience measurement for advertising agencies, publishers, marketers and
financial analysts. comScore measures Internet usage and other activity through
monitoring software installed on the computers of a panel of approximately 2,000,000

Proposed

DECLARATION OF KATHERINE KINSELLA

people. Active in 170 countries, comScore tracks more than 3 million unique websites.
Panel-based surveys are subject to minimum reporting standards and not all surveyed
websites will meet these minimums.

13. The Notice Program is based on specifically reaching consumers in the target audience
and not simply the general public. KM chose as its target audience “people who bought
any Toyota, Lexus, or Scion make and model” (“Toyota/Lexus/Scion Purchasers”),
which is measured by GfK MRI and comScore, Inc.1

14. The target audience also includes 13% Hispanics and 6% Asians hence the decision to
translate the Long Form Notice. This level of Class membership warranted some muticultural
media placements as well.

Paid Media Placements

15. The proposed media schedule includes advertising in national newspaper supplements,
national consumer magazines, newspapers in US territories, and Internet advertising to
reach the target audience as outlined above.

16. The national newspaper supplements included in the program are inserted in over 1,300
newspapers across the country. A listing of the carrier newspapers and their circulations
is attached as Exhibit A to the Notice Plan. The Summary Settlement Notice will appear
in newspaper supplements as follows:

a. A two-fifths-page ad (5.25” x 6.75”) twice in Parade with an estimated
circulation of 32,500,000.

1 Since it is not possible to measure Internet against the target of people who leased any Toyota, Lexus or Scion
make and model, KM selected the target of “people who bought any Toyota, Lexus or Scion make and model,”
which can be measured for all media. It can reasonably be expected that purchasers or lessors of these vehicles
would be demographically similar.

Proposed

DECLARATION OF KATHERINE KINSELLA

b. A two-fifths-page ad (5” x 6.4375”) twice in USA Weekend with an estimated
circulation of 22,250,000.

17. The Summary Settlement Notice will appear in national consumer magazines as follows:

a. A half-page ad (3.5” x 10”) once in Better Home and Gardens with an estimated
circulation of 7,600,000.

b. A half-page ad (4.25" x 10.625") once in ESPN The Magazine with an estimated
circulation of 2,000,000.

c. A half-page ad (3.625" x 10.625") once in Good Housekeeping with an estimated
circulation of 4,300,000.

d. A full-page ad (5.75" x 9") once in National Geographic with an estimated
circulation of 4,000,000.

e. A half-page ad (3.5" x 10") once in Parents with an estimated circulation of
2,200,000.

f. Two half-page ads (3.375” x 10”) once in People with an estimated circulation of
3,475,000.

g. A half-page ad (3.375” x 10”) once in People en Español with an estimated
circulation of 540,000.

h. A half-page ad (7” x 5”) once in Popular Science with an estimated circulation of
1,300,000.

i. A full-page ad (4.687” x 6.75”) once in Reader’s Digest with an estimated
circulation of 5,500,000.

j. A half-page ad (3.5” x 10”) once in Time with an estimated circulation of
3,250,000.

Proposed

DECLARATION OF KATHERINE KINSELLA

18. The Summary Settlement Notice will appear in the following newspapers in the United
States Territories as an ad equivalent to a one-fourth-page ad in a typical newspaper (ad
sizes vary by newspaper and are listed below along with circulation):
Newspaper Circulation Ad Size

El Nuevo Dia 250,000 10.87" x 6"

El Vocero 140,000 10" x 6"

Pacific Daily News 30,000 9.87" x 6"

Primera Hora 140,869 10.87" x 6"

Puerto Rico Daily Sun 30,000 4.896" x 12"

Saipan Tribune 2,500 7.25" x 10.25"

Samoa News 4,000 4" x 16"

St. Croix Avis 14,000 4" x 13"

St. John’s Trade Winds 2,000 6" x 8"

Virgin Islands Daily News 13,000 10.25" x 5.5"

19. Internet advertising will include the following placements for a five-week period, which
will include a total of 313,511,000 gross impressions2:

a. Banner advertisements measuring 728 x 90, 300 x 250, and 160 x 600 pixels will
appear, on a rotating basis, on websites that are part of the 24/7 Real Media
Network. 24/7 Real Media is a network that represents over 800 websites.

b. Banner advertisements measuring 728 x 90, 300 x 250, and 160 x 600 pixels will
appear, on a rotating basis, on various AOL websites. The AOL Advertising
Network is one of the leading Internet brands providing content on top news,
movies, music, weather, finance, sports, and horoscopes.

c. Banner advertisements measuring 728 x 90, 300 x 250, and 160 x 600 pixels will
appear, on a rotating basis, on websites that are part of the Batanga network. The
Batanga network is the number one Hispanic ad network, delivering over 15
million online U.S. Hispanics on Spanish-language websites.

2 Gross Impressions are the total number of times a media vehicle containing the notice is seen. This is a duplicated figure, as
some viewers will see several media vehicles that contain the notice.
Proposed

DECLARATION OF KATHERINE KINSELLA

d. A banner advertisement measuring 110 x 80 pixels will appear, on a rotating
basis, on Facebook.com, which is a free, global social networking website that
helps people communicate with friends, family, and coworkers.

e. Banner advertisements measuring 728 x 90, 300 x 250, and 160 x 600 pixels will
appear, on a rotating basis, on websites that are part of the Komli network, which
is the leading digital media platform for the Asian American audience.

f. Banner advertisements measuring 728 x 90, 300 x 250, and 160 x 600 pixels will
appear, on a rotating basis, on websites that are part of the Microsoft Media
Network, which is a premium ad network of top-ranked commercial sites.

g. Banner advertisements measuring 728 x 90, 300 x 250, and 160 x 600 pixels will
appear, on a rotating basis, on websites that are part of the RMM Network. The
RMM Network is an online ad network that delivers premium display or video
inventory.

h. Banner advertisements measuring 728 x 90, 300 x 250, and 160 x 600 pixels will
appear, on a rotating basis, on websites that are part of the Specific Media
Network. Specific Media is an online media company that enables advertisers to
target audiences through advanced proprietary technologies across a premium
network.

i. Banner advertisements measuring 728 x 90, 300 x 250, and 160 x 600 pixels will
appear, on a rotating basis, on various Yahoo! Web pages. Yahoo is a leading
Internet brand and global online network of integrated services providing users
with entertainment and other quality content.

Proposed

DECLARATION OF KATHERINE KINSELLA

Electronic Notice

20. A website will be established to enable potential Class Members to get information on the
Settlement. The website will also be listed with major search engines to enable Class
Members to get information on the Settlement.

Reach of the Target Audience

21. For the purpose of evaluating the strength and efficiency of the media, the national
newspaper supplements, national consumer magazines and Internet advertising3 were
measured against the target audience to establish the estimated reach4 of the media
program and the estimated frequency5 of exposure to the media vehicles.

a. An estimated 90% of Toyota/Lexus/Scion Purchasers will be reached with an
average estimated frequency of 3.0 times.
Content and Form of Notices

22. Rule 23(c)(2) of the Federal Rules of Civil Procedure requires class action notices to be
written in “plain, easily understood language.” KM applies the plain language
requirement in drafting notices in federal and state class actions. The firm maintains a
strong commitment to adhering to the plain language requirement, while drawing on its
experience and expertise to draft notices that effectively convey the necessary
information to Class Members.

23. The Summary Settlement Notice and Short Form Notice are designed to get the reader’s
attention. These Notices concisely and clearly state, in plain easily understandable

3 MRI does not measure the United States Territories newspapers. Therefore, their contribution to the overall reach of the media
is not calculated.

4 Reach is the estimated number of different people exposed to a specific vehicle or combination of vehicles. It can be expressed
as whole number or percentage of the total population.

5 Frequency is the estimated average number of opportunities an audience member has to see the notice.

Proposed

DECLARATION OF KATHERINE KINSELLA

language, all required information. Both Notices refer readers to the availability of a
Long Form Notice, which is available to those who call or visit the website.

24. The Long Form Notice will be available at the website or by calling the toll-free number.
The Long Form Notice will be translated into Spanish, Chinese, Japanese, Korean, and
Vietnamese. The Long Form Notice provides substantial information, including all
specific instructions Class Members need to follow to properly exercise their rights, and
background on the issues in the case. It is designed to encourage readership and
understanding, in a well-organized and reader-friendly format.
Conclusion

25. It is my opinion that the reach of our target audiences and the number of exposure
opportunities to the notice information is the best notice practicable under the
circumstances, and it is consistent with the standards employed by KM in notification
programs designed to reach unidentified members of settlement groups or classes. The
Notice Program as designed is fully compliant with Rule 23 of the Federal Rules of Civil
Procedure.

I declare under penalty of perjury that the foregoing is true and correct.

December 21, 2012

Katherine Kinsella Date

Proposed

EXHIBIT 1

Proposed

© 2012 KINSELLA MEDIA, LLC

NOTICE PROGRAM

In re: Toyota Motor Corp. Unintended
Acceleration Marketing, Sales Practices, and
Products Liability Litigation

No. 8:10ML2151

United States District Court for the
Central District of California
Proposed

© 2012 KINSELLA MEDIA, LLC

TABLE OF CONTENTS

PAGE

FIRM OVERVIEW

CASE BACKGROUND

Situation Analysis 6

Class Definition 7

NOTICE PROGRAM OVERVIEW

Program Components 9

Direct Notice 10

Paid Media Program 11

Paid Media Placements Summary 12

PAID MEDIA METHODOLOGY 14

TARGET AUDIENCE

Selection Methodology 16

Demographics 17

Media Usage 19

PAID MEDIA PLACEMENTS

Newspaper Supplements 22

Consumer Magazines 24

Publications in U.S. Territories and Possessions 28

Target Audience’s Print Readership 29

Internet Advertising 30

NATIONAL MEDIA DELIVERY 33
NOTICE DESIGN

Long Form Notice 35

Proposed

© 2012 KINSELLA MEDIA, LLC

Short Form Notice 36

Summary Settlement Notice 37

Website and Internet Ads 38

TOLL-FREE TELEPHONE SUPPORT 39

EXHIBITS

Exhibit A – Newspaper Supplements

Exhibit B – 24/7 Network sample sites

Exhibit C – RMM sample sites

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

FIRM OVERVIEW

Kinsella Media, LLC (“KM”) is a nationally recognized legal notification firm in Washington, D.C.
specializing in the design and implementation of notification programs to reach putative class
members primarily in consumer and antitrust class actions and claimants in bankruptcy and mass
tort litigation.

KM has developed and directed some of the largest and most complex national notification programs,
primarily in antitrust, bankruptcy, consumer fraud, mass tort, and product liability litigation. Specific
cases have spanned a broad spectrum of issues, including asbestos, breast implants, home siding and
roofing products, infant formula, pharmaceuticals, polybutylene plumbing, tobacco, and Holocaust
claims. The firm has developed or consulted on over 700 notification programs and has placed over
$300 million in paid media notice.

KM develops advertisements, press materials, websites, and other notice materials that bridge the gap
between litigation complexities and the need for a clear and simple explanation of legal rights. The firm
employs industry-recognized tools of media measurement to quantify the adequacy of the notice for the
court, and ensures all notice materials are in “plain language” and are fully compliant with Rule 23 of
the Federal Rules of Civil Procedure (“Rule 23”) and comparable state guidelines.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

CASE BACKGROUND

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

CASE BACKGROUND:

SITUATION ANALYSIS

KM has developed a Notice Program for a proposed national class action Settlement involving Toyota,
Lexus and Scion vehicles. The goal of the Notice Program is to inform as many class members as
possible about the Settlement and how it will affect their rights. The Notice Program recommends a
multipronged approach including direct notice and paid media.
Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

CASE BACKGROUND:

CLASS DEFINITION

The Class is defined as:

All persons, entities or organizations who, at any time as of or before the entry of the
Preliminary Approval Order, own or owned, purchase(d), lease(d) and/or insure(d) the
residual value, as a Residual Value Insurer, of all Subject Vehicles equipped or installed with
an ETCS distributed for sale or lease in any of the fifty States, the District of Columbia,
Puerto Rico and all other United States territories and/or possessions. Excluded from the
Class are: (a) Toyota, their officers, directors and employees; their affiliates and affiliates’
officers, directors and employees; their distributors and distributors’ officers, directors and
employees; and Toyota Dealers and Toyota Dealers’ officers and directors; (b) Plaintiffs’
Class Counsel, Allocation Counsel and their employees; (c) judicial officers and their
immediate family members and associated court staff assigned to this case; and (d) persons
or entities who or which timely and properly exclude themselves from the Class as provided
in this Agreement.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

NOTICE PROGRAM OVERVIEW

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

NOTICE PROGRAM OVERVIEW:

PROGRAM COMPONENTS

This Notice Program outlines procedures to provide notice of the Settlement of In re: Toyota Motor
Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation as a class
action, consistent with the requirements set forth in Rule 23.

KM recommends the following two-part notice program.

➢ DIRECT NOTICE: The Short Form Notice will be sent to current owners of covered
Toyota, Lexus and Scion vehicles and certain previous owners who were registered owners
during a specified period, based on records available through R.L. Polk & Co.

➢ PAID MEDIA-BASED NOTICE: After careful research of the demographics of Class
Members, KM recommends broad paid media notice comprised of print and Internet vehicles
that will reach Class Members, including:

➢ Consumer magazines,

➢ Newspaper supplements,

➢ Local newspapers in U.S. territories and possessions, and

➢ Internet banner ads on multiple networks and hundreds of targeted websites.

To complement the Notice Program and to ensure Class Members’ easy access to updated information,
KM recommends a dedicated informational website.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation
© 2012 KINSELLA MEDIA, LLC

NOTICE PROGRAM OVERVIEW:

DIRECT NOTICE

Direct mail notice will consist of mailing the Short Form Notice to specified Class Members, informing
them of their legal rights and how they may participate in or opt-out of the class action. The Short
Form Notice will be sent to:

➢ More than 16 million Class Members, including current owners of covered Toyota, Lexus and
Scion vehicles and certain previous owners who were registered owners during a specified
period, based on records available to Toyota.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

NOTICE PROGRAM OVERVIEW:

PAID MEDIA PROGRAM

To reach Class Members to whom direct notice is not practicable, KM recommends the use of
measurable paid media. Paid media advertising is guaranteed to appear, allowing for control of the
content, timing, and positioning of the message. Newspapers, consumer magazines, television, radio,
and the Internet, among other sources, offer paid media opportunities.

In considering which media to use for this case, KM evaluated the media consumption habits of the
following target audience: people who bought any Toyota, Lexus or Scion make and model
(“Toyota/Lexus/Scion Purchasers”).

Based on data regarding the target audience’s media consumption, KM researched the most appropriate
media vehicles that would be best for this case. KM reviewed available consumer magazines, newspaper
supplements, and Internet for reach of the target audiences as well as compatibility of the editorial.
Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

NOTICE PROGRAM OVERVIEW:

PAID MEDIA PLACEMENTS SUMMARY

The following list provides a brief summary of KM’s recommended media placements in this case.

More detailed information about each publication and its applicability to the target audience in this
case appears in the Paid Media Placements section of this plan.

PRINT PUBLICATIONS

Newspaper Supplements

 Parade

 USA Weekend

Consumer Magazines

 Better Homes & Gardens

 ESPN The Magazine

 Good Housekeeping

 National Geographic

 Parents

 People

 People en Espanol

 Popular Science

 Readers Digest

 Time

Publication in U.S. Territories and Possessions

 El Nuevo Dia

 El Vocero

 Pacific Daily News (Guam)

 Primera Hora

 Puerto Rico Daily Sun

 Saipan Tribune

 Samoa News

 St. Croix Avis

 St. Johns Trade Winds

 Virgin Islands Daily News

ONLINE MEDIA

Internet Banner Ads

 24/7 Network

 AOL Advertising Network

 Batanga

 Facebook.com

 Komli

 Microsoft Media Network

 RMM Network

 Specific Media

 Yahoo! Network

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

PAID MEDIA METHODOLOGY

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

PAID MEDIA METHODOLOGY

KM notice programs directed to unidentified class members: (1) identify the demographics of class
members and establish a target audience, (2) outline the methodology for selecting the media and other
program elements and how they relate to product usage or exposure, and (3) provide results that
quantify for the court the adequacy of the notice based upon recognized tools of media measurement.
KM employs methodology and measurement tools used in the media planning and advertising industry
for designing and measuring the adequacy of a paid media program to reach a particular audience.
Choosing a target audience that encompasses the characteristics of class members is the first step in
designing the paid media program. KM chooses media vehicles based on their ability to provide
effective and cost-efficient penetration of the target audience. Then it measures selected vehicles
against the target audience to quantify the reach of the media program and the frequency of exposure to
the media vehicles. Reach and frequency estimates are two of the primary measurements used to
quantify the media penetration of a target audience.

➢ Reach is the estimated number of different people exposed to a specific vehicle or combination
of vehicles. It can be expressed as whole number or percentage of the total population.

➢ Frequency is the estimated average number of opportunities an audience member has to see the
notice.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

TARGET AUDIENCE

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

TARGET AUDIENCE:

SELECTION METHODOLOGY

To develop a profile of the demographics and media habits of potential Class Members, KM analyzed
syndicated data available from GfK MRI’s 2012 Doublebase Study1.

GfK MRI is the leading U.S. supplier of multimedia audience research. As a nationally accredited
research firm, it provides information to magazines, television, radio, Internet and other media, leading
national advertisers and over 450 advertising agencies – including 90 of the top 100 in the U.S. GfK
MRI’s nationally syndicated data are widely used by these companies as the basis for the majority of the
media and marketing plans written for advertised brands in the U.S.
Specifically, GfK MRI presents a single-source measurement of major media, products, services, and indepth
consumer demographic and lifestyle characteristics. GfK MRI provides data on media usage,
audience composition, and other relevant factors pertaining to all major media types as well as the
readership of print vehicles.

Since it is not possible to measure Internet against the target of people who leased any Toyota, Lexus or
Scion make and model, KM selected the target “people who bought any Toyota, Lexus or Scion make
and model,” which can be measured for all media. It can be reasonably expected that purchasers or
lessors of these vehicles would be demographically similar. Therefore, the measured delivery of media
to the “Toyota/Lexus/Scion Purchasers” will be representative of delivery to Class Members.
Therefore, to adequately reach the Class, KM will purchase and measure media against the following
primary target:

➢ People who bought any Toyota, Lexus or Scion make and model (“Toyota/Lexus/Scion
Purchasers”).

1 Since 1979, GfK MRI’s Survey of the American Consumer has conducted detailed polling of a large sample of U.S. adults
about the media they see and hear and about the products they use. Participants in the survey are identified by age,
occupation, income, education and by where they live, among other things. They are asked what magazines and
newspapers they read, what TV shows and cable channels they watch, and are asked questions about Internet access and
radio formats. Survey data indicate the brands and products they use from among 500 categories and 6000 consumer
brands. The data from this survey is used by media practitioners industry-wide to characterize media and product users by

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

TARGET AUDIENCE:

DEMOGRAPHICS

Based on GfK MRI data, the graph below outlines the demographics of the target audience and the
demographics of adults 18 years and older (“Adults 18+”) for comparison purposes:

DEMOGRAPHICS ADULTS 18+

TOYOTA/LEXUS/

SCION

PURCHASERS

TOYOTA/LEXUS/SCION

BOUGHT OR LEASED

Gender

Male 48.4% 48.5% 48.3%

Female 51.6% 51.5% 51.7%

Age

18-24 12.8% 10.5% 10.7%

25-34 17.9% 17.7% 17.9%

35-44 17.7% 18.6% 18.7%

45-54 19.3% 20.5% 20.4%

55-64 15.5% 17.4% 17.3%
65+ 16.8% 15.2% 15.1%

Education

Graduated/Attended College 55.4% 68.8% 68.6%

Graduated High School 30.8% 23.1% 23.2%

Household Income2

Under $19,000 13.9% 4.7% 4.8%

$20,000 - $39,999 19.7% 12.0% 12.3%

$40,000 - $59,999 17.0% 15.8% 15.8%

$60,000 - $74,999 10.9% 11.6% 11.4%

$75,000+ 38.6% 56.0% 55.6%

$100,000+ 25.1% 38.2% 38.2%

Ethnicity3

Caucasian

76.1% 78.7% 77.9%

African-American 11.7% 6.7% 6.9%

Hispanic 14.0% 13.2% 13.6%

Asian 3.2% 6.1% 6.3%

Other 9.5% 9.0% 9.5%

2 The total percentages listed do not equal exactly 100% percent because GfK MRI rounds up all percentages to the nearest
tenth of a decimal.

3 The GfK MRI Doublebase Study allows for multi-classification of an individual’s ethnicity. Therefore, the sum of all
ethnicities may be greater than 100%.
Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

Location4

A & B Counties 71.7% 76.9% 77.2%

C & D Counties 28.3% 23.1% 22.7%

Based on these data, Toyota/Lexus/Scion Purchasers are more likely than the average adult to:

➢ Be 25-64 years of age.

➢ Have a college degree.

➢ Live in the A & B Counties.

➢ Be homeowners.

➢ Make $60,000 and more.

In addition, Asians are a higher percentage of the target audience than they are of the Asian population
as a whole.

4 A Counties, as defined by A.C. Nielsen Company (“Nielsen”), are all counties belonging to the 25 largest metropolitan
areas. These metro areas correspond to the Metropolitan Statistical Area and include the largest cities and consolidated
areas in the United States. B Counties, as defined by Nielsen, are all counties not included under A that have either a
population greater than 150,000 or are in a metro area with a population greater than 150,000 according to the latest census.

C Counties, as defined by Nielsen, are all counties not included under A or B that either have a population greater than
40,000 or are in a metro area with a population greater than 40,000 according to the latest census. D Counties are,
essentially, rural counties.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

TARGET AUDIENCE:

MEDIA USAGE

Individuals spend varying amounts of time with different media. Certain demographic groups may be
heavy consumers, light consumers, or non-users of a particular medium. For example, GfK MRI data
shows that individuals who are less educated are likely to be heavy television viewers and light
newspaper readers. Conversely, highly educated individuals are more likely to be heavy newspaper
readers and light television viewers.

KM notice plans focus on the media types used most often by the target audiences. To examine the
media habits of the target audience, KM compares the target audience’s media usage to that of the
average adult 18 years of age and older (“Adult 18+”) in usage quintiles reported by GfK MRI. The
study ranks respondents based on their amount of exposure to a medium and divides them into five
equal-sized groups (“quintiles”) from heaviest usage (1) to lightest usage (5).

The media usage of the target audience in each quintile is expressed as an index. An index of 100 is the
average adult’s usage of a particular medium. Therefore, an index above 100 indicates a heavier usage of
the medium than the average adult, and an index below 100 indicates a lighter usage of the medium
than the average adult.

The target audience’s top two quintiles (heaviest and next heaviest usage) for each type of media are:

MEDIA ADULTS 18+

TOYOTA/LEXUS/

SCION

PURCHASERS

TOYOTA/LEXUS/

SCION BOUGHT
OR LEASED

Magazine

Quintile 1 100.0 104.2 104.6

Quintile 2 100.0 105.3 104.4

Newspaper

Quintile 1 100.0 115.5 114.8

Quintile 2 100.0 98.8 98.3

Radio

Quintile 1 100.0 86.5 86.0

Quintile 2 100.0 109.2 109.4

Television

Quintile 1 100.0 79.4 79.4

Quintile 2 100.0 94.9 94.1

Internet

Quintile 1 100.0 110.3 110.8

Quintile 2 100.0 117.4 118.0

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

These data indicate the following regarding media consumption habits of each brand bought or leased:
Target Brands Demographics Media Usage

Bought or
Leased Toyota

• Adults 25-64 years

• $60,000+ household income

• Above average
magazines

• Heavy newspapers

• Average Internet

Bought or
Leased Lexus

• Adults 45 years and older

• $75,000+ household income

• Heavy magazines

• Heavy newspapers

• Heavy Internet

Bought or
Leased Scion

• Adults 18-34 years

• $60,000+ household income

• Above average
magazines

• Heavy Internet

The target audience also includes 13% Hispanics and 6% Asians. This level of Class membership
warranted some multi-cultural media placements.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

PAID MEDIA PLACEMENTS

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

PAID MEDIA PLACEMENTS:
NEWSPAPER SUPPLEMENTS

Parade and USA Weekend are publications known as newspaper supplements that are inserted into
weekend or Sunday editions newspapers nationwide. These magazines, printed on newsprint, contain
articles written for broad, general appeal and encourage readership through brevity. Issues are typically
fewer than 30 pages. For this Notice Program, KM recommends newspaper supplements because of
their cost-effective reach capability.

Parade appears in 640 papers and USA Weekend in more than 800. (There is a small amount of
overlap, as some papers carry more than one supplement, so these numbers are not cumulative.) Parade
and USA Weekend together reach every major media market in the country. The selected supplements
provide coverage in all 50 states and the District of Columbia. A list of the newspapers into which the
selected supplements are inserted is attached as Exhibit A.

KM recommends the following newspaper supplement placements:

➢ A two-fifths-page ad (5.25” x 6.75”) twice in Parade with an estimated circulation of
32,500,000.5

➢ Parade is carried in the Sunday edition of 640 daily newspapers and is the highest circulating
magazine in the world. Carrier newspapers serve major urban and suburban markets in the U.S.

➢ 30.2% of Toyota/Lexus/Scion Purchasers read an average issue of Parade.

➢ 29.8% of Toyota/Lexus/Scion Bought or Leased read an average issue of Parade.

➢ A two-fifths-page ad (5” x 6.4375”) twice in USA Weekend with an estimated circulation of
22,250,000.

5 The GfK MRI readership estimates for Parade and USA Weekend are reflective of the broader readership measurement of
the newspaper carrier groups into which these supplements are inserted. A custom study, conducted in 2003, by GfK MRI
indicates that the actual readership of the supplements is less than that of the carrier papers. While this study provided
directional insight into the audience, the data provided is highly variable and insufficient for use in specific computation of
reach and frequency. Therefore, the use of carrier paper readership for the newspaper supplements remains an accredited
methodology.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

➢ USA Weekend is carried in the weekend edition of 800 daily newspapers in major markets,
complementing U.S. markets served by Parade.

➢ 17.3% of Toyota/Lexus/Scion Purchasers read an average issue of USA Weekend.

➢ 17.3% of Toyota/Lexus/Scion Bought or Leased read an average issue of USA Weekend.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

PAID MEDIA PLACEMENTS:

CONSUMER MAGAZINES

Most adults read one or more magazines during an average month and nearly three out of five adults
read or look at a magazine daily. Magazines quickly accumulate readership and provide timely and
efficient notice to readers. KM chose the consumer magazines listed below because they provide
efficient coverage of the target audience.

KM recommends the following consumer magazine placements:

➢ A half-page ad (3.5” x 10”) once in Better Homes and Gardens with an estimated circulation of
7,600,000.

➢ Better Homes and Gardens is published monthly and is the largest-circulation home service
magazine in the U.S., featuring a wide-range of home and family subjects such as food and
decorating.

➢ 16.1% of Toyota/Lexus/Scion Purchasers read an average issue of Better Homes and Gardens.

➢ 15.9% of Toyota/Lexus/Scion Bought or Leased read an average issue of Better Homes and
Gardens.

➢ A half-page ad (4.25” x 10.625”) once in ESPN The Magazine with an estimated circulation of
2,000,000.

➢ ESPN The Magazine is a bi-weekly publication covering issues and trends, both on the field and
in the lives of today's highest-profile athletes.

➢ 6.1% of Toyota/Lexus/Scion Purchasers read an average issue of ESPN The Magazine.

➢ 6.1% of Toyota/Lexus/Scion Bought or Leased read an average issue of ESPN The Magazine.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

➢ A half-page ad (3.625” x 10.625”) once in Good Housekeeping with an estimated circulation of
4,300,000.

➢ Good Housekeeping is published monthly and provides information on food, nutrition, health,
beauty, home decorating, child care, and social issues.

➢ 9.6% of Toyota/Lexus/Scion Purchasers read an average issue of Good Housekeeping.

➢ 9.4% of Toyota/Lexus/Scion Bought or Leased read an average issue of Good Housekeeping.

➢ A full-page ad (5.75” x 9”) once in National Geographic with an estimated circulation of
4,000,000.

➢ National Geographic is published monthly and covers people and places internationally.
Readers spend an average of 56 minutes with each issue and tend to be upper-income and
educated.

➢ 15.9% of Toyota/Lexus/Scion Purchasers read an average issue of National Geographic.

➢ 15.7% of Toyota/Lexus/Scion Bought or Leased read an average issue of National Geographic.

➢ A half-page ad (3.5” x 10”) once in Parents with an estimated circulation of 2,200,000.

➢ Parents is published monthly and provides information and advice in raising healthy children.

➢ 6.2% of Toyota/Lexus/Scion Purchasers read an average issue of Parents.

➢ 6.1% of Toyota/Lexus/Scion Bought or Leased read an average issue of Parents.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

➢ A half-page ad (3.375” x 10”) twice in People with an estimated circulation of 3,475,000.

➢ People is a weekly publication covering contemporary personalities in entertainment, politics,
business, and other current events.

➢ 18.3% of Toyota/Lexus/Scion Purchasers read an average issue of People.

➢ 18.4% of Toyota/Lexus/Scion Bought or Leased read an average issue of People.

➢ A two-thirds--page ad (4.5” x 10”) once in People en Español with an estimated circulation of
540,000.

➢ People en Español is a monthly publication covering issues and individuals in the Hispanic
community.

➢ 19.2% of Toyota/Lexus/Scion Bought or Leased (who are Hispanic) read an average issue
of People en Español.

➢ A half-page ad (7” x 5”) once in Popular Science with an estimated circulation of 1,300,000.

➢ Popular Science is published monthly and is focuses on automotive, consumer technology and
gadgets, health, and engineering.

➢ 3.5% of Toyota/Lexus/Scion Purchasers read an average issue of Popular Science.

➢ 3.4% of Toyota/Lexus/Scion Bought or Leased read an average issue of Popular Science.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

➢ A full-page ad (4.687” x 6.75”) once in Reader’s Digest with an estimated circulation of
5,500,000.

➢ Reader’s Digest is compendium published 10 times a year of selected excerpts from other
publications as well as original pieces.

➢ 10.2% of Toyota/Lexus/Scion Purchasers read an average issue of Reader’s Digest.

➢ 10.0% of Toyota/Lexus/Scion Bought or Leased read an average issue of Reader’s Digest.

➢ A half-page ad (3.5” x 10”) once in Time with an estimated circulation of 3,250,000.

➢ Time is a weekly news magazine covering national and international people, places, and events.

➢ 9.1% of Toyota/Lexus/Scion Purchasers read an average issue of Time.

➢ 9.0% of Toyota/Lexus/Scion Bought or Leased read an average issue of Time.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

PAID MEDIA PLACEMENTS:

PUBLICATIONS IN U.S. TERRITORIES AND POSSESSIONS

To provide notice in U.S. territories and possessions, KM selected newspaper advertising. The
Summary Settlement Notice will be translated, when necessary, and appropriately sized for placement
in the following newspapers:

U.S. TERRITORY/POSSESSION NEWSPAPER CIRCULATION

American Samoa Samoa News 4,000

Guam Pacific Daily News 30,000

Northern Mariana Islands Saipan Tribune 2,500

Puerto Rico El Nuevo Dia 250,000

Puerto Rico El Vocero 140,000

Puerto Rico Primera Hora 140,869

Puerto Rico Puerto Rico Daily Sun 30,000

St. Croix (United States Virgin Islands) St. Croix Avis 14,000

St. John (United States Virgin Islands) St. Johns Trade Winds 2,000

St. John (United States Virgin Islands) Virgin Islands Daily News 13,000

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

PAID MEDIA PLACEMENTS:

TARGET AUDIENCE’S PRINT READERSHIP

Readership includes both primary readers and pass-along readers. Primary readers purchase a
publication or are members of a household where the publication was purchased. Pass-along readers are
those who read the publication outside the home, in places such as a doctor’s office. The table below
indicates the estimated number of readers in the target audience of an average issue of the magazine or
newspaper supplement:

PUBLICATION INSERTIONS TOYOTA/LEXUS/SCION
PURCHASERS

TOYOTA/LEXUS/SCION

BOUGHT OR LEASED

Better Homes and Gardens 1 5,832,000 5,982,000

ESPN The Magazine 1 2,227,000 2,315,000

Good Housekeeping 1 3,476,000 3,547,000

National Geographic 1 5,788,000 5,934,000

Parade 2 10,970,000 11,230,000

Parents 1 2,235,000 2,304,000

People 2 6,642,000 6,917,000

People en Español 1 968,000 997,000

Popular Science 1 1,283,000 1,297,000

Reader’s Digest 1 3,698,000 3,764,000

Time 1 3,309,000 3,391,000

USA Weekend 2 6,300,000 6,504,000

GfK MRI does not measure U.S. territories and possessions. Therefore, their contribution to the
overall reach of the media is not calculated. Their inclusion in the Notice Program is still
recommended, however, given the Class definition.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

PAID MEDIA PLACEMENTS:

INTERNET ADVERTISING

GfK MRI provides data on Internet usage by asking survey respondents about their online usage during
the 30 days prior to the survey. According to GfK MRI, 86.7% of Toyota/Lexus/Scion Purchasers and
86.6% of Toyota/Lexus/Scion Bought or Leased used the Internet during the last 30 days.
Accordingly, KM recommends incorporating Internet advertising into the Notice Program in order to
provide potential Class Members with additional national notice opportunities beyond the broadreaching
print program. Internet advertising delivers an immediate message and allows the viewer of an
advertisement to instantly click through to a website for further information.

WEBSITE ADVERTISING

KM recommends placing ads on a wide range of websites, enabling maximum exposure opportunities to
reach the broad audience of Toyota/Lexus/Scion Purchasers. In addition, websites with audiences that
are highly comprised of the specific target audiences were also selected. (Delivery of Internet
impressions to specific sites and categories within sites are subject to availability at the time KM
purchases the media.)

KM recommends the following Web placements, which will run for approximately 30 days:

➢ 24/7 Real Media is a network that represents over 800 websites. A partial list of websites in the
24/7 Real Media Network is attached as Exhibit B.

➢ Banner advertisements measuring 728 x 90 pixels, 300 x 250 pixels, and 160 x6 00 pixels will
appear, on a rotating basis, on websites that are part of the 24/7 Real Media Network.

➢ AOL Advertising Network is one of the leading Internet brands providing content on top
news, movies, music, weather, finance, sports and horoscopes.

➢ Banner advertisements measuring 728 x 90 pixels, 300 x 250 pixels, and 160 x 600 pixels will
appear, on a rotating basis, on the AOL Network.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation
© 2012 KINSELLA MEDIA, LLC

➢ Batanga is the number one Hispanic ad network, delivering over 15 million online U.S.
Hispanics on Spanish-language sites.

➢ Banner advertisements measuring 728 x 90, 300 x 250 pixels, and 160 x 600 pixels will appear,
on a rotating basis, on Batanga.

➢ Facebook.com is s a free, global social networking website that helps people communicate with
friends, family and coworkers.

➢ Banner advertisements measuring 110 x 80 pixels will appear, on a rotating basis, on

Facebook.com.

➢ Komli is a leading digital media platform for Asia Pacific targets.

➢ Banner advertisements measuring 728 x 90 pixels, 300 x 250 pixels, and 160 x 600 pixels will
appear, on a rotating basis, on Komli.

➢ Microsoft Media Network is a premium ad network of top-ranked commercial sites.

➢ Banner advertisements measuring 728 x 90 pixels, 300 x 250 pixels, and 160 x 600 pixels will
appear, on a rotating basis, on the Microsoft Media Network.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

➢ RMM is a network that represents over 800 premium websites. A partial list of websites in the
RMM Network is attached as Exhibit C.

➢ Banner advertisements measuring 728 x 90 pixels, 300 x 250 pixels, and 160 x 600 pixels will
appear, on a rotating basis, on websites that are part of the RMM Network.

➢ Specific Media is an online media company that enables advertisers to target audiences through
advanced proprietary technologies across a premium network.

➢ Banner advertisements measuring 728 x 90 pixels, 300 x 250 pixels, and 160 x 600 pixels will
appear, on a rotating basis, on the Specific Media Network.

➢ Yahoo! is a leading Internet brand and a global online network of integrated services providing
users with entertainment and other quality content. Banner advertisements will appear on a
variety of Yahoo’s web pages.

➢ Banner advertisements measuring 728 x 90 pixels, 300 x 250 pixels, 160 x 600 pixels will appear,
on a rotating basis, on various Yahoo! Web pages.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

NATIONAL MEDIA DELIVERY

The paid media program outlined in this plan provides Class Members with multiple exposure
opportunities to media vehicles carrying the Notice and delivers the following estimated reach and
frequency measurements to the target audience defined by the 2012 comScore//GfK MRI Media (10-
12/S12) Study6 from GfK MRI and comScore:

➢ An estimated 90.0% of Toyota/Lexus/Scion Purchasers will be reached with an average
estimated frequency of 3.0 times, delivering 121,443,000 gross impressions.
Although the target, people who leased any Toyota, Scion or Lexus make and model, is not measured in
comScore, it is likely, given the media usage habits, that the estimated reach of the Notice Program will
be similar to that of people who own any Toyota, Scion or Lexus make and model.

6 GfK MRI Net+ Fusion combines GfK MRI's Survey of the American Consumer and Nielsen Online's NetView, providing a
single-source dataset of off-line and online media usage by American consumers. Nielsen uses a patented metering
technology and representative panels of Internet users to collect and report consumer Internet usage. The GfK MRI survey
provides data on magazine and newspaper reading, television viewing, radio listening, product consumption, psychographic
characteristics, computer and Internet access configurations, and geo-demographic characteristics. Combining the two
datasets provides unduplicated audience estimates across print and online media.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

NOTICE DESIGN

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

NOTICE DESIGN:

LONG FORM NOTICE

The Long Form Notice will be compliant with Rule 23 and consistent with the Federal Judicial
Center’s “illustrative” class action notices. Specifically, the Long Form Notice will clearly and concisely
state in plain, easily understood language:

➢ The nature of the action;

➢ The definition of the class certified;

➢ The class claims, issues, or defenses;

➢ That a class member may enter an appearance through an attorney if the member so desires;

➢ That the Court will exclude from the class any member who requests exclusion;

➢ The time and manner for requesting exclusion; and

➢ The binding effect of a class judgment on members under Rule 23 (c)(3).

The Long Form Notice will prominently feature a toll-free number and website address for Class
Members to obtain more information and file a claim. The Long Form Notice will be translated into
Spanish, Chinese, Japanese, Korean, and Vietnamese and such translations will be available on the Class
Action Administrator’s dedicated website, [www.website.com].

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

NOTICE DESIGN:

SHORT FORM NOTICE

The plain language Short Form Notice is designed to alert Class Members to the litigation by using a
bold headline. This headline will enable Class Members to quickly determine if they are potentially
affected by the litigation. Plain language text provides important information regarding the subject of
the litigation, the Class definition, and the legal rights available to Class Members. The Short Form
Notice will include all the substantive information required by Rule 23.

The Short Form Notice will prominently feature a toll-free number and website address for Class
Members to obtain the Short Form Notice and other information. The Short Form Notice will also
include a tear-off Notice that Class Members can keep in their glove box to remind them about the
future benefits available through the Customer Support Program. The Short Form Notice will be
translated into Spanish, and such translations will be available on the Class Action Administrator’s
dedicated website, [www.website.com].

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

NOTICE DESIGN:

SUMMARY SETTLEMENT NOTICE

Rule 23(c)(2) of the Federal Rules of Civil Procedure requires notices in 23(b)(3) class actions to be
written in “plain, easily understood language.” KM applies the plain language requirement in drafting
all notices in federal and state class actions. The firm maintains a strong commitment to adhering to
the plain language requirement, while drawing on its experience and expertise to draft notices that
effectively convey the necessary information to Class Members.

The plain language Summary Settlement Notice is designed to alert Class Members to the litigation by
using a bold headline. This headline will enable Class Members to quickly determine if they are
potentially affected by the litigation. Plain language text provides important information regarding the
subject of the litigation, the Class definition and the legal rights available to Class Members. The
Summary Settlement Notice includes all the substantive information required by Rule 23.
Each advertisement will prominently feature a toll-free number and website for Class Members to
obtain the Long Form Notice and other information. The Summary Settlement Notice will be
translated into Spanish..

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

NOTICE DESIGN:

WEBSITE AND INTERNET ADS

An informational interactive website is a critical component of the Class Notice Program. A dedicated
website is a constant information source instantly accessible to millions. In this case, the dedicated site
will capitalize on the Internet’s ability to distribute information and provide access to customer service.

Internet banner ads will direct Class Members to the website.

WEBSITE DESIGN

Combining clean site design, consistent site navigation cues and search engine optimization, the
website will provide Class Members with easy access to the details of the litigation.

➢ CLEAN DESIGN: The site will be designed for ease of navigation and comprehension, with
user-friendly words and icons. Clearly labeled content will include the Long Form Notice,
court documents, and answers to frequently asked questions.

➢ ONLINE CLAIM FILING: In an effort to make it even easier for Class Members to make claims,
the website will allow users to request hard copies of materials, and/or make a claim online.

INTERNET BANNER AD DESIGN

KM will design Internet banner advertisements to alert Class Members to the litigation by using a bold
headline. The headline will enable Class Members to quickly determine if they may be affected by the
litigation. When users click on the banner advertisement, they will be connected to the dedicated
website that contains detailed information about their legal rights.

For reference, below is an Internet banner ad drafted for this case:
The Internet banner ad will be translated into Spanish, Chinese, Japanese, Korean, and Vietnamese.

Proposed

In re: Toyota Motor Corp. Unintended Acceleration Marketing, Sales Practices, and Products Liability Litigation

© 2012 KINSELLA MEDIA, LLC

TOLL-FREE TELEPHONE SUPPORT

A toll-free interactive voice response system (IVR) will be established to service Class Members calling
as a result of seeing the paid media notice. Callers requesting the Long Form Notice will be prompted
to input the telephone number of the residence where they would like to receive the Notice.

The system uses an address look-up database to locate the corresponding address of the resident. A
portion of the address will be read back to the caller for address verification. For successful look-ups,
the caller will be asked to speak the Class Member’s full name and to spell the last name. If the look-up
fails, is incorrect, or the call is placed from a rotary dial telephone, callers will be prompted to state their
name and address.

Proposed

EXHIBIT A

Proposed

Effective January, 2012

Distributing Newspapers 33,000,000 National Circulation
in More than 640 Newspapers

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

Alabama

427,307

Alexander City: The Outlook 4,000 *
Selma: The Selma Times-Journal 4,800 *
8,800

Anniston: The Anniston Star 20,649

Birmingham: The Birmingham News 154,031

Cullman: The Cullman Times 10,873 *

Gadsden: The Gadsden Times 17,459

Talladega: The Daily Home 7,549 *

Tuscaloosa: The Tuscaloosa News 31,926

242,487

Athens: The Athens News Courier 5,794 *

Huntsville: The Huntsville Times 68,800
74,594

Mobile-Pensacola: Press-Register 101,426
101,426

Alaska

75,577

Anchorage: Anchorage Daily News 49,734

Fairbanks: Fairbanks Daily News-Miner 14,879

Juneau: Juneau Empire 4,800 *

Kenai: Peninsula Clarion 6,164 *

75,577

Arizona

315,798

Cottonwood: Verde Independent & The Bugle 3,601 *

Flagstaff: Arizona Daily Sun 10,451

Kingman: The Kingman Daily Miner 7,629 *

Lake Havasu City: Today's News-Herald 10,162 *

Mesa: East Valley Tribune 119,026 *

Prescott: The Daily Courier 15,544

Sun City: News-Sun 6,463
172,876

Tucson: The Arizona Daily Star 128,813
128,813

Yuma: The Sun 14,109
14,109

Arkansas
290,510

Blytheville: Blytheville Courier News 2,595
2,595

Arkansas
290,510

Conway: Log Cabin Democrat 8,439 *

Little Rock: Arkansas Democrat-Gazette 198,559 *
206,998

El Dorado: Sunday News 12,982

Fayetteville: Northwest Arkansas Democrat 67,935
Gazette

*
80,917

California

3,307,762

Bakersfield: The Bakersfield Californian 52,472

Lompoc: Lompoc Record 3,637

San Luis Obispo: The Tribune 36,772

Santa Barbara: Santa Barbara News-Press 23,778

Santa Barbara/TMC: Santa Barbara News- 34,476

Press Direct

*

Santa Maria: Santa Maria Times 18,367

Santa Maria/Select: Central Coast Preview 6,000 *
175,502

Camarillo: Ventura County Star 79,488

Palmdale: Antelope Valley Press 19,110

Riverside: The Press Enterprise 124,997

Santa Ana: The Orange County Register 282,135

Santa Ana/TMC: Sunday Preferred 86,000 *

Victorville: Daily Press 26,022
617,752

El Centro: Imperial Valley Press 9,468
9,468

Escondido: North County Times 65,597
65,597

Fairfield: Daily Republic 18,516

Sacramento: The Sacramento Bee 265,074

Sacramento/Select: Yes! Your Essential 40,023

Shopper

*

323,613

Fresno: The Fresno Bee 138,064

Fresno/Select: Yes! Your Essential Shopper 31,458 *

Hanford: The Sentinel 8,577

Merced: Merced Sun-Star 15,079

Porterville: Recorder 5,900 *
199,078

Los Angeles: Los Angeles Times 887,775

Page 1 of 11

Proposed

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

California

3,307,762

887,775

Marysville-Yuba City: Appeal-Democrat 15,684

Marysville-Yuba City/Select: A-D Light 5,000 *

Modesto: The Modesto Bee 71,332
Modesto/Select: Yes! Your Essential Shopper 31,023 *

Stockton: The Record 41,037
164,076

Napa: Register 12,722

Santa Rosa: The Press Democrat 60,956
73,678

Redding: Record Searchlight 24,124
24,124

San Diego: The San Diego Union-Tribune 291,363

San Diego/TMC: Local Community Values 202,084 *
493,447

San Francisco: San Francisco Chronicle 273,652
273,652

Colorado

743,520

Boulder: Sunday Camera 26,565

Longmont: Times-Call 19,097

Loveland: Reporter-Herald 20,535
66,197

Canon City: Canon City Daily Record 5,705

Colorado Springs: The Gazette 84,265
Colorado Springs/Select: Sunday Preferred 23,200 *

Pueblo: The Pueblo Chieftain 45,388

Trinidad: The Chronicle-News 2,554 *
161,112

Denver: The Denver Post 443,446

Denver/Select: Sunday Select 40,500 *
483,946

Grand Junction: The Daily Sentinel 27,067

Montrose: Montrose Daily Press 5,198 *
32,265

Connecticut

370,212

Bridgeport: Connecticut Post 69,815

Danbury: The News-Times 28,724

Greenwich: Time 9,842

Stamford: The Advocate 20,253
128,634

Manchester: Journal Inquirer 33,993

Meriden: Record-Journal 17,883 *

Middletown: The Middletown Press 5,272

New Britain: Herald Press 9,898

New Haven: New Haven Register 89,981

New London: The Day 28,951

Torrington: The Register Citizen 5,841

Waterbury: The Sunday Republican 49,759

Connecticut

370,212

241,578

Delaware

16,981

Dover: State News Sunday 16,981

16,981

District of Columbia

713,842

Washington: The Washington Post 713,842

713,842

Florida

2,482,112

Bradenton: Bradenton Herald 39,235

Bradenton/Select: Yes! Your Essential Shopper 12,500 *

Lakeland: The Ledger 62,685

Winter Haven: The Reporter 28,758 *
143,178

Cape Coral: Cape Coral Daily Breeze 42,209 *

Naples-Bonita: Daily News 52,437
94,646

Ft. Walton Beach: Northwest Florida Daily 29,863

News

29,863

Gainesville: The Gainesville Sun 41,472

Gainesville/Select: Shop Gainesville 10,000 *

51,472

Jacksonville: The Florida Times-Union 148,436

Lake City: Lake City Reporter 7,000 *

St. Augustine: St. Augustine Record 17,227

172,663

Live Oak: Live Oak Suwannee Democrat 5,300 *

5,300

Miami: The Miami Herald 203,295

Miami/Select: The Miami Herald Sunday Select 61,448 *

Miami / El: El Nuevo Herald 72,142

336,885

Ocala: Star-Banner 40,266

Ocala/Select: Shop Ocala 10,000 *

Orlando: El Sentinel 80,000 *

Orlando: Orlando Sentinel 285,534

Orlando/Select: Go Shopping, Orlando 70,000 *

Orlando/TMC: What's the Deal, Orlando? 100,000 *

The Villages: Daily Sun 37,102

622,902

Panama City: Freedom Florida Newspapers 25,280 *

Panama City: The News Herald 27,919

53,199

Sarasota: Herald-Tribune 82,252

St. Petersburg: Tampa Bay Times 399,547

Tampa: The Tampa Tribune 253,453

Page 2 of 11

Proposed

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

Florida

2,482,112

735,252

Stuart: SCRIPPS Treasure Coast Newspapers 83,443 *

West Palm Beach: The Palm Beach Post 123,309

West Palm Beach/Select: Real Values 30,000 *
236,752

Georgia

1,103,915

Americus: Americus Times-Recorder 3,211 *

Columbus: Columbus Ledger-Enquirer 41,170

Columbus/Select: Yes! Your Essential Shopper 11,494 *

Macon: The Telegraph 64,594

Macon/Select: Yes! Your Essential Shopper 23,374 *

Milledgeville: The Milledgeville Union-Recorder 7,329 *

151,172

Athens: Athens Banner-Herald 21,858

Atlanta: The Atlanta Journal-Constitution 407,099

Atlanta/Select: Buyer's Edge Select 62,000 *

Atlanta/TMC: Atlanta - Reach 265,500 *

756,457

Augusta: The Augusta Chronicle 64,316

Augusta/Select: Yes! Your Essential Shopper 8,200 *

72,516

Cordele: Cordele Dispatch 3,760 *

Moultrie: The Moultrie Observer 5,654 *

Tifton: The Tifton Gazette 6,635 *

16,049

Hinesville: Liberty County Coastal Courier 4,548 *

Richmond Hill: Bryan County News 2,135 *

Savannah: Savannah Morning News 54,890

Statesboro: Statesboro Herald 7,526 *

69,099

Rome: Rome News-Tribune 14,407 *

14,407

Thomasville: Thomasville Times-Enterprise 8,249 *

Valdosta: The Valdosta Daily Times 15,966 *

24,215

Hawaii

19,418

Wailuku: The Maui News 19,418

19,418

Idaho

226,534

Boise: Idaho Statesman 76,961

Boise/Select: Yes! Your Essential Shopper 25,000 *

Nampa: Idaho Press Tribune 27,596

Twin Falls: The Times-News 21,442

150,999

Idaho Falls: Post Register 28,046

Pocatello: Idaho State Journal 18,470

Idaho

226,534

Rexburg: Standard Journal 4,451 *

50,967

Lewiston: Lewiston Morning Tribune 24,568 *

24,568

Illinois

1,786,240

Alton: The Telegraph 20,397

Belleville: Belleville Community Newspapers 7,891 *

Belleville: Belleville News-Democrat 51,117

Belleville/Select: Yes! Your Essential Shopper 13,694 *

93,099

Bloomington: The Pantagraph 42,353

Canton: The Daily Ledger 4,188 *

Pekin: Pekin Daily Times 6,578 *

Peoria: Journal Star 70,864

123,983

Carbondale: The Southern Illinoisan 33,074

33,074

Champaign-Urbana: The News-Gazette 42,964

Decatur: Herald & Review 43,055

Effingham: Effingham Daily News 10,120

Jacksonville: Jacksonville Journal-Courier 11,550

Springfield: The State Journal-Register 49,996

157,685

Chicago: Chicago Tribune 777,038

Chicago/Select: Chicago Tribune Sunday Select 195,000 *

Chicago/Fin de Semana: Hoy fin de semana 335,000 *

1,307,038

Freeport: The Journal Standard 10,326 *

10,326

Galesburg: The Register-Mail 9,947

Kewanee: Star Courier 3,778 *

Monmouth: Daily Review Atlas 1,734 *

15,459

Macomb: The Macomb Journal 3,457 *

Quincy: Quincy Herald-Whig 20,853

24,310

Mount Vernon: Mt. Vernon Register-News 7,102 *

7,102

Ottawa: The Times 14,164

14,164

Indiana

540,894

Anderson: The Herald Bulletin 20,751 *

Bloomington: Hoosier Times 34,705 *

Columbus: The Republic 19,330

Franklin: Daily Journal 13,906

Greenfield: Daily Reporter 9,266 *

Greensburg: Greensburg News 4,306 *

Page 3 of 11

Proposed

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

Indiana

540,894

Kokomo: Kokomo Tribune 21,045 *

Lebanon: The Lebanon Reporter 4,043 *

Logansport: Pharos-Tribune 9,489 *

Mooresville-Decatur: Reporter-Times 3,076 *

Rushville: Rushville Republican 2,578 *

142,495

Batesville: The Batesville Herald Tribune 2,569 *

2,569

Evansville: Evansville Courier & Press 71,039

71,039

Ft. Wayne: The Journal Gazette 102,861

102,861

Goshen: The Goshen News 10,661 *

South Bend: South Bend Tribune 80,536

91,197

Munster: The Times 89,375

89,375

New Albany-Jeffersonville: The Evening News 10,762

& The Tribune

*

Seymour: The Tribune 6,618 *

17,380

Terre Haute: Tribune-Star 23,978

23,978

Iowa

317,117

Ames: The Tribune 10,397 *

Fort Dodge: The Messenger 15,818

Knoxville: The Knoxville Crossville Chronicle 2,015 *

Marshalltown: Times-Republican 8,678

Oskaloosa: Oskaloosa Herald 2,691 *

39,599

Cedar Rapids: The Gazette 61,165

Dubuque: Telegraph-Herald 30,509

Waterloo: The Courier 44,303

135,977

Clinton: Clinton Herald 9,688

Davenport: Quad-City Times 59,272

Muscatine: Muscatine Journal 5,706

74,666

Mason City: Globe-Gazette 18,241

18,241

Ottumwa: The Ottumwa Courier 10,626

10,626

Sioux City: Sioux City Journal 38,008

38,008

Kansas

254,196

Garden City: The Garden City Telegram 7,363 *

Great Bend: Great Bend Tribune 5,641 *

Kansas

254,196

Hays: The Hays Daily News 10,263 *

Hutchinson: Hutchinson News 28,503

Salina: Salina Journal 26,070

Wichita: The Wichita Eagle 99,624

Wichita/Select: Yes! Your Essential Shopper 25,008 *

202,472

Manhattan: The Manhattan Mercury 9,281

Topeka: Topeka Capital-Journal 38,184

47,465

Ottawa: The Ottawa Herald 4,259 *

4,259

Kentucky

241,159

Ashland: The Independent 15,263

15,263

Bowling Green: Daily News 23,911

Glasgow: The Glasgow Daily Times 8,286

32,197

Corbin: Corbin Times-Tribune 5,805 *

Danville: The Kentucky Advocate 8,180 *

Lexington: Lexington Herald-Leader 113,350

Lexington/Select: Yes! Your Essential Shopper 15,060 *

London: The London Sentinel-Echo 7,479 *

Somerset: Commonwealth Journal 8,118 *

157,992

Elizabethtown: The News Enterprise 18,903

18,903

Henderson: The Gleaner 9,533

9,533

Maysville: The Ledger Independent 7,271

7,271

Louisiana

335,782

Abbeville-Eunice-Ville Platte: Meridonial-News- 10,863

Gazette

*

Crowley: The Crowley Post-Signal 3,800 *

Lake Charles: American Press 35,300

Ruston: The Ruston Daily Leader 5,200 *

55,163

Baton Rouge: The Advocate 102,240

Franklin: The Banner Tribune 2,138 *

Morgan City: The Daily Review 4,712 *

109,090

Houma: The Courier 16,094

16,094

New Orleans: The Times-Picayune 155,435

155,435

Maine

136,400

Page 4 of 11

Proposed

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

Maine

136,400

Augusta: Kennebeck Journal 11,475

Lewiston: Sun Journal 28,273

Portland: Maine Sunday Telegram 82,286

Waterville: Morning Sentinel 14,366

136,400

Maryland

549,699

Baltimore: The Sun 301,551

Baltimore/Select: Deals @ Your Door 44,000 *

Baltimore / Weeklies: Baltimore Weeklies 117,000 *

Easton: Star-Democrat 14,973 *

477,524

Cumberland: Cumberland Times-News 25,353

Hagerstown: The Herald-Mail Newspapers 31,806

57,159

Elkton: Cecil Whig 15,016 *

15,016

Massachusetts

685,854

Boston: Boston Sunday Globe 354,181

Boston/Select: Savings Central 85,000 *

439,181

Hyannis: Sunday Cape Cod Times 47,069

Worcester: Sunday Telegram 74,629

121,698

New Bedford: Sunday Standard-Times 23,807

23,807

Springfield: Sunday Republican 101,168

101,168

Michigan

880,037

Adrian: The Daily Telegram 14,315

14,315

Ann Arbor: AnnArbor.com 37,087 *

Dearborn: Press & Guide 7,056

Lapeer: The County Press 8,961 *

Monroe: The Monroe Sunday News 21,139

Mount Clemens: The Macomb Daily 61,958

Pontiac: The Oakland Press 71,867

Royal Oak: The Daily Tribune 6,166

Shelby Township: Advisor & Source 116,637

Newspapers

Southgate: The News-Herald 31,337

362,208

Bad Axe: Huron Daily Tribune 5,466 *

Bay City: The Bay City Times 32,141 *

Flint: The Flint Journal 68,502

Midland: The Midland Daily News 14,406

Mount Pleasant: Morning Sun 9,317

Saginaw: The Saginaw News 36,880 *

Michigan

880,037

166,712

Cadillac: News 7,849 *

Gaylord: Gaylord Herald-Times 5,000 *

Petoskey: Petoskey News-Review 8,895 *

Traverse City: Record-Eagle 29,065

50,809

Grand Rapids: The Grand Rapids Press 152,075

Kalamazoo: Kalamazoo Gazette 55,459

Muskegon: The Muskegon Chronicle 35,743

243,277

Jackson: Citizen Patriot 28,207

28,207

Marquette: The Mining Journal 14,509

14,509

Minnesota

965,241

Albert Lea: Albert Lea Tribune 5,561 *

Austin: Austin Daily Herald 3,810 *

Winona: Winona Daily News 10,327

19,698

Bemidji: The Bemidji Pioneer 9,238

Brainerd: Brainerd Dispatch 15,964 *

Faribault: Faribault Daily News 5,183 *

Minneapolis-St. Paul: Star Tribune 503,838

Minneapolis-St. Paul/Select: Strib Express 30,000 *

Northfield: Northfield News 4,200 *

Owatonna: Owatonna People's Press 6,342

Red Wing: Red Wing Republican Eagle 5,700 *

St. Paul: Pioneer Press 248,179

Willmar: West Central Tribune 13,785

842,429

Duluth: Duluth News-Tribune 47,071

Grand Rapids: Grand Rapids Herald-Review 6,940 *

Hibbing: The Hibbing Daily Tribune 4,643 *

Virginia: Virginia Mesabi Daily News 9,965 *

68,619

Mankato: The Free Press 19,049 *

New Ulm: The Journal 7,520

Worthington: Daily Globe 7,926

34,495

Mississippi

153,613

Brookhaven: The Daily Leader 5,693

Mc Comb: Enterprise-Journal 9,608

Vicksburg: The Vicksburg Post 11,580

26,881

Clarksdale: The Clarksdale Press Register 1,800 *

1,800

Columbus: The Commercial Dispatch 13,574 *

Laurel: Laurel Leader-Call 6,133 *

Page 5 of 11

Proposed

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

Mississippi

153,613

Tupelo: Northeast Mississippi Daily Journal 35,439

55,146

Greenville: Delta Democrat Times 7,211

Greenwood: The Greenwood Commonwealth 6,163

13,374

Gulfport: Sun Herald 39,061

39,061

Meridian: The Meridian Star 12,653 *

12,653

Picayune: Picayune Item 4,698 *

4,698

Missouri

1,001,619

Cape Girardeau: Southeast Missourian 16,720 *

Dexter: The Daily Statesman 3,136 *

Kennett: The Daily Dunklin Democrat 3,055 *

Poplar Bluff: Daily American Republic 10,811

Sikeston: Standard Democrat 5,964

39,686

Columbia: Missourian 4,100 *

Fulton: The Fulton Sun 3,698 *

Jefferson City: News Tribune 20,465

Joplin: The Joplin Globe 28,618

56,881

Kansas City: The Kansas City Star 290,476

Kansas City/Select: Yes! Your Essential Shopper 46,061 *

336,537

Nevada: Weekend Herald-Tribune 4,650 *

4,650

Park Hills: Daily Journal 6,701

6,701

Sedalia: Democrat 9,290 *

9,290

St. Joseph: St. Joseph News-Press 30,011

30,011

St. Louis: St. Louis Post-Dispatch 311,199

St. Louis: St. Louis Suburban Journal Sunday 206,664 *

517,863

Montana

130,831

Billings: Billings Gazette 44,689

Bozeman: Bozeman Daily Chronicle 15,643

Butte: Montana Standard 12,203

Helena: Helena Independent Record 13,134

Kalispell: Daily Inter Lake 16,245

Missoula: Missoulian 28,917

130,831

Nebraska

296,801

Nebraska

296,801

Beatrice: Sun 5,177

Grand Island: The Grand Island Independent 19,573

Lincoln: JournalStar 67,293

York: York News Times 3,175 *

95,218

Columbus: Telegram 8,285

Omaha: Sunday World-Herald 169,974

178,259

North Platte: The North Platte Telegraph 10,436

Scottsbluff: Star-Herald 12,888

23,324

Nevada

170,178

Elko: Elko Daily Free Press 6,100

6,100

Las Vegas: Las Vegas Review-Journal 161,478

161,478

Sparks: Daily Sparks Tribune 2,600 *

2,600

New Hampshire

87,452

Keene: Sentinel 10,486

Manchester: New Hampshire Sunday News 63,897

Portsmouth: Seacoast Sunday 13,069

87,452

New Jersey

795,006

Atlantic City: The Press Of Atlantic City 70,733

Trenton: The Times 40,237

Trenton / Trentonian: Trentonian 20,355

Willingboro: Burlington County Times 29,616

Woodbury: South Jersey Sunday 33,798 *

194,739

Flemington/TMC: Hunterdon Observer 48,309 *

Hackensack: Suburban Trends 7,496 *

Hackensack: The Bergen Record 172,103

Newton: New Jersey Herald 17,398

245,306

Jersey City: The Jersey Journal 21,813

Newark: The Star-Ledger 333,148

354,961

New Mexico

160,859

Albuquerque: Journal 112,540

Hobbs: News-Sun 8,664

Roswell: Daily Record 9,700 *

Santa Fe: The Santa Fe New Mexican 22,356

153,260

Clovis: Clovis News Journal 6,131

Page 6 of 11

Proposed

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

New Mexico

160,859

Portales: Portales News-Tribune 1,468 *

7,599

New York

1,209,437

Albany: Times Union 127,552

Catskill: Daily Mail 2,608

Glens Falls: Post-Star 29,653

Gloversville: The Leader-Herald 10,845

Hudson: Register-Star 4,538

Saratoga Springs: Saratogian 7,668

Troy: Record 10,436

193,300

Auburn: The Citizen 10,329

Oneida: The Oneida Daily Dispatch 5,967

Syracuse: The Post-Standard 138,322

154,618

Batavia: The Daily News 11,641 *

Buffalo: The Buffalo News 235,671

247,312

Canandaigua: Post Messenger 9,741

Geneva: Finger Lakes Sunday Times 15,554

25,295

Canton: Advance-News 8,262 *

Oneonta: The Daily Star 13,472 *

Watertown: Daily Times 30,387

52,121

Corning: The Sunday Leader 9,536 *

Hornell: The Spectator 8,700 *

18,236

Kingston: Sunday Freeman 18,078

Middletown: Times Herald-Record Sunday 66,680

Staten Island: Staten Island Sunday Advance 47,993

Staten Island/TMC: Staten Island Shore 54,500

Editions

*

187,251

Malone: The Malone Telegram 5,667 *

Plattsburgh: Press-Republican 19,101

24,768

New York: New York Post 306,536

306,536

North Carolina

958,692

Albemarle: Albemarle Stanley News & Press 8,085 *

Charlotte: The Charlotte Observer 211,334

Gastonia: Gaston Gazette 24,504

Shelby: The Star 11,136 *

255,059

Burlington: Times-News 21,759

Greensboro: The News & Record 86,932

Greensboro/Select: Sunday Plus 10,000 *

North Carolina

958,692

Winston-Salem: Winston-Salem Journal 76,805

195,496

Chapel Hill: The Chapel Hill News 17,033 *

Durham: The Durham News 58,653 *

Fayetteville: The Fayetteville Observer 58,668

Goldsboro: Goldsboro News-Argus 17,830

Raleigh: The News & Observer 189,437

Rocky Mount: Rocky Mount Telegram 13,593

Southern Pines: The Pilot 14,052 *

Tarboro: The Tarboro Daily Southerner 3,300 *

372,566

Elizabeth City: The Daily Advance 9,331

9,331

Greenville: The Daily Reflector 20,064

Jacksonville: News 16,539

Kinston: Free Press 9,748

New Bern: Sun-Journal 14,409

Washington: Washington Daily News 7,360 *

68,120

Hendersonville: Times-News 13,425

13,425

Wilmington: Sunday Star-News 44,695

44,695

North Dakota

136,755

Bismarck: Tribune 28,614

Dickinson: The Dickinson Press 6,395

Minot: Minot Daily News 17,648

52,657

Fargo: The Forum 51,143 *

Grand Forks: Grand Forks Herald 27,181

Jamestown: The Jamestown Sun 5,774 *

84,098

Ohio

1,488,228

Akron: Akron Beacon Journal 125,013

Ashland: Ashland Times-Gazette 10,528

Ashtabula: Astabula Star Beacon 15,684

Canton: The Repository 68,355

Elyria: The Chronicle-Telegram 22,628

Lorain: Morning Jounal 22,263

New Philadelphia-Dover: The Times Reporter 19,114

Willoughby: Lake County News-Herald 38,415

Wooster: The Daily Record 22,461

344,461

Athens: Messenger 9,860 *

Ironton: Ironton Tribune 7,971 *

17,831

Cambridge: The Sunday Jeffersonian 11,806

Circleville: Herald 5,764 *

Page 7 of 11

Proposed

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

Ohio

1,488,228

Columbus: Suburban News Publications 122,944 *

Logan: News 3,456 *

Waverly: The News Watchman 2,903 *

146,873

Cleveland: The Plain Dealer 341,832

Cleveland/TMC: PD Wrap-Up 60,500 *

402,332

Dayton: Cox Ohio Southwest Group 81,353 *

Dayton: Dayton Daily News 139,414

Springfield: Springfield News-Sun 26,717

247,484

Defiance: The Crescent-News 17,305

Findlay: The Courier 21,860 *

Fostoria: Review-Times 3,200 *

Toledo: The Blade 141,348

183,713

East Liverpool: Sunday Review 7,103

Lima: The Lima News 36,879

Salem: Salem News 4,660

Youngstown: The Vindicator 60,588

109,230

Hamilton: Journal News 19,838

Middletown: The Middletown Journal 16,466

36,304

Oklahoma

593,309

Claremore: Claremore Daily Progress 5,482 *

McAlester: McAlester News-Capitol 7,044 *

Muskogee: Muskogee Phoenix 12,527

Pryor: The Pryor Daily Times 3,605 *

Tahlequah: Tahlequah Daily Press 3,816 *

Tulsa: Tulsa World 127,502

159,976

Miami: Miami News-Record 5,000 *

5,000

Oklahoma City: The Oklahoman 192,744

Oklahoma City/TMC: Buyer's Edge 232,000 *

Woodward: Woodward News 3,589 *

428,333

Oregon

492,173

Albany-Corvallis: Albany Democrat- 24,787

Herald/Corvallis Gazette-Times

Coos Bay: The World 10,291

Eugene: The Register-Guard 60,709

95,787

Bend: The Bulletin 32,109

Klamath Falls: Herald and News 14,926

Medford: Mail Tribune 25,164

72,199

Oregon

492,173

Ontario: Argus Observer 6,686

6,686

Pendleton: East Oregonian 7,417

7,417

Portland: The Sunday Oregonian 290,084

Portland/Select: Community News 20,000 *

310,084

Pennsylvania

2,304,935

Allentown: The Morning Call 123,405

Allentown/Select: MC Select 22,000 *

Doylestown: The Intelligencer 39,329

Easton: The Express-Times 51,092

Levittown: Bucks County Courier Times 51,399

Norristown: Times Herald 19,537

Pottstown: Mercury 19,330

Primos: Delaware County Daily Times 30,555

Reading: Reading Eagle 70,802

Reading/Select: Reading Eagle Direct 5,000 *

West Chester: Daily Local News 26,319

458,768

Beaver: Beaver County Times 35,909

New Castle: New Castle News 14,254

Oil City-Franklin: The Derrick/The News-Herald 21,617 *

Uniontown: Herald-Standard 22,415

94,195

Carlisle: The Sentinel 13,556

Gettysburg: Gettysburg Times 8,364

Harrisburg: Sunday Patriot-News 111,729

Harrisburg/Select: pn Community 8,000 *

Lancaster: Sunday News 94,168

235,817

Du Bois: Tri-County Sunday 14,551

Johnstown: The Tribune-Democrat 35,564

State College: Centre Daily Times 26,349

76,464

Erie: Erie Times-News 71,284

71,284

Hazleton: Hazleton Standard-Speaker 17,685 *

Pottsville: Pottsville Republican Herald 24,718 *

Sayre: Morning Times 5,163 *

Scranton: Scranton Times-Tribune 63,724

Scranton/Select: Scranton Times-Tribune 13,100

Sunday Opt-In

*

Shamokin-Pottsville: The Shamokin-Pottsville 8,583

News-Item

Stroudsburg: Pocono Record 19,267

Sunbury: The Daily Item 22,937

Towanda: Towanda Sunday Review 8,667

Wilkes-Barre: The Times Leader 59,739 *

Williamsport: Williamsport Sun-Gazette 29,850

Page 8 of 11

Proposed

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

Pennsylvania

2,304,935

273,433

Philadelphia: The Philadelphia Inquirer 459,170

Philadelphia/DN: Daily News 49,155

Philadelphia/Spree: Savings Spree! 302,414 *

810,739

Pittsburgh: Pittsburgh Post-Gazette 266,504

266,504

Sharon: The Herald 17,731

17,731

Rhode Island

129,024

Providence: The Providence Sunday Journal 129,024

129,024

South Carolina

485,724

Anderson: Anderson Independent-Mail 29,676

Greenville: Greenville Journal 40,116 *

Greenwood: The Index-Journal 12,919

Spartanburg: Herald-Journal 42,392

125,103

Charleston: The Post And Courier 91,085

Myrtle Beach: The Sun News 49,490

Myrtle Beach/Select: The Sun News Sunday 11,264

Select

*

151,839

Columbia: The State 94,450

Columbia/Select: Yes! Your Essential Shopper 34,921 *

Orangeburg: The Times & Democrat 12,328

Sumter: The Item 14,363

156,062

Hilton Head-Beaufort: The Island Packet- 27,435

Gazette

27,435

Rock Hill: The Herald 25,285

25,285

South Dakota

74,568

Aberdeen: American News 14,605

Belle Fourche : Butte County Post 1,955 *

Huron: Plainsman 5,314 *

Mitchell: The Daily Republic 11,455

Rapid City: Rapid City Journal 29,615

Watertown: Watertown Public Opinion 11,624

74,568

Tennessee

472,879

Chattanooga: Chattanooga Times Free Press 102,574

102,574

Crossville: Crossville Chronicle 7,582 *

Tennessee

472,879

Knoxville: Knoxville News Sentinel 119,263

Knoxville/Select: Sunday Saver Select 5,000 *

Morristown: Citizen Tribune 24,354

156,199

Dyersburg: The State Gazette 5,321 *

Memphis: The Commercial Appeal 141,042

146,363

Johnson City: Johnson City Press 29,993

29,993

Murfreesboro: The Murfreesboro Post 20,500 *

Shelbyville: Shelbyville Times-Gazette 6,750 *

Tullahoma: The Sunday News 10,500 *

37,750

Texas

2,817,292

Abilene: Abilene Reporter-News 30,749

Brownwood: Brownwood Bulletin 6,048 *

Midland: Reporter-Telegram 18,140

Odessa: Odessa American 17,207

San Angelo: Standard-Times 21,638

93,782

Amarillo: Amarillo Globe-News 43,510

Lubbock: Lubbock Avalanche-Journal 42,240

Plainview: Plainview Daily Herald 4,340 *

90,090

Athens: Athens Daily Review 3,701 *

Corsicana: Corsicana Daily Sun 4,385 *

Denton/TMC: Denton Record-Chronicle 12,519

Gainesville: Gainesville Daily Register 5,100 *

Greenville: Greenville Herald Banner 6,005 *

Mineral Wells: The Mineral Wells Index 2,699 *

Palestine: Palestine Herald-Press 5,517 *

Paris: The Paris News 8,837

Stephenville: Stephenville Empire-Tribune 4,600 *

Waxahachie: The Waxahachie Daily Light 4,700 *

58,063

Austin: Austin American-Statesman 154,844

154,844

Beaumont: The Beaumont Enterprise 31,864

31,864

Brownsville: The Herald 16,921 *

Harlingen: Valley Morning Star 16,370

McAllen: Monitor 36,085

Weslaco: Mid Valley Town Crier 21,750

91,126

Corpus Christi: Corpus Christi Caller-Times 56,548

56,548

Dallas: The Dallas Morning News 351,788

Dallas/Al Dia: Al Dia 122,933

Dallas/Briefing: Briefing 202,514 *

Page 9 of 11

Proposed

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

Texas

2,817,292

677,235

Del Rio: Del Rio News-Herald 4,073

Kerrville: Kerrville Daily Times 8,897

12,970

El Paso: El Diario de El Paso 10,500 *

10,500

Fort Worth: Star-Telegram 228,793

Fort Worth/Select: Yes! Your Essential Shopper 69,801 *

298,594

Houston: Houston Chronicle 503,316

Houston/SMC: The Good Life 315,000 *

818,316

Huntsville: The Huntsville Item 4,275 *

4,275

Jacksonville: Jacksonville Daily Progress 3,100 *

Tyler: Tyler Courier-Times-Telegraph 30,826

33,926

San Antonio: San Antonio Express-News 245,305

245,305

Temple: Temple Daily Telegram 19,573

Waco: Waco Tribune-Herald 38,439

58,012

Texarkana: Gazette 29,042

29,042

Victoria: Victoria Advocate 28,467

28,467

Wichita Falls: Times Record News 24,333

24,333

Utah

278,356

Logan: The Herald Journal 16,662

Provo: Daily Herald 43,525

Salt Lake City: The Salt Lake Tribune-Deseret 206,169

News

Salt Lake City/Select: The Salt Lake Tribune 12,000

Sunday Select

*

278,356

Vermont

21,468

Rutland/Barre: Rutland Herald/Barre Sunday 21,468

Times Argus

21,468

Virginia

581,179

Martinsville: Martinsville Bulletin 16,507

16,507

Newport News: Daily Press 90,924

Norfolk: The Virginian-Pilot 174,018

Norfolk/Select: Non-Subscriber Sunday Opt-In 34,000 *

Virginia

581,179

298,942

Petersburg: The Petersburg Progress-Index 12,206

Richmond: Richmond Times-Dispatch 163,347

175,553

Roanoke: The Roanoke Times 90,177

90,177

Washington

840,250

Bellingham: The Bellingham Herald 21,276

Bremerton: Kitsap Sun 22,452

Mount Vernon: Skagit Valley Herald 15,757

Olympia: The Olympian 28,573

Tacoma: The News Tribune 101,535

Tacoma/Select: Yes! Your Essential Shopper 24,729 *

Wenatchee: The Wenatchee World 19,127

233,449

Ellensburg: Daily Record 5,669 *

Pasco-Kennewick-Richland: Tri-City Herald 37,538

Walla Walla: Walla Walla Union-Bulletin 12,831

Yakima: Herald-Republic 32,762

88,800

Longview: The Daily News 22,564

Vancouver: The Columbian 39,952

62,516

Seattle: The Seattle Times 325,933

Seattle/Select: Savings Source 40,000 *

365,933

Spokane: The Spokesman-Review 89,552

89,552

West Virginia

234,953

Beckley: The Register-Herald 22,832

Bluefield: Bluefield Daily Telegraph 15,953

Princeton: Princeton Times 1,420 *

40,205

Charleston: Sunday Gazette-Mail 65,247

65,247

Clarksburg: Clarksburg Exponent-Telegram 18,491

Fairmont: Times West Virginian 10,291

Parkersburg: The Parkersburg News and 28,064

Sentinel

Wheeling: Sunday News-Register 31,964

88,810

Martinsburg: The Journal 17,446

17,446

Morgantown: The Dominion Post 23,245

23,245

Wisconsin

274,445

Page 10 of 11

Proposed

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

State / State Circulation

Newspaper

Circulation

Newspaper / Cluster

Wisconsin

274,445

Baraboo: Baraboo News Republic 3,688

Madison: Wisconsin State Journal 119,169

Portage: Daily Register 4,115

126,972

Beaver Dam: Daily Citizen 9,978

Kenosha: Kenosha News 26,450

Racine: The Journal Times 28,266

64,694

Chippewa Falls: Chippewa Valley Newspapers 8,859

Eau Claire: Leader-Telegram 29,854

La Crosse: La Crosse Tribune 35,198

Rhinelander: The Daily News 2,997 *

76,908

Shawano: Shawano Leader 5,871 *

5,871

Wyoming

23,867

Casper: Casper Star-Tribune 23,867

23,867

Sources: PARADE 1/29/2012 circulation based on ABC, CAC, VAC and newspaper publisher statements, 9/30/2011

*Newspaper Publisher's Statement

Page 11 of 11

ProposedCirculation List 2012

Circulation: 22,655,21 0 Effective: January 1, 2012

NOW THE CHOICE
OF MORE THAN 800NEWSPAPER
PUBLISHERS

Proposed

CIRCULATION LIST 2012

State/City/Newspaper Circulation State/City/Newspaper Circulation State/City/Newspaper Circulation

Alabama 155,683 California (continued) Connecticut 255,811

Decatur Daily 2 3,848 Los Angeles Times -- Sunday Select 2 00,000 Hartford Courant 1 99,661

Dothan Eagle 2 9,535 Madera Tribune 4 ,975 Hartford Courant -- Sunday Select 12,500

Florence-Sheffield-Tuscumbia- Marin County Independent Journal 2 9,507 Norwalk Hour 1 6,342

Muscle Shoals Times Daily 2 7,444 Monterey Herald 2 7,065 Norwich Bulletin 2 1,139

Fort Payne Times-Journal 5 ,064 Morgan Hill Times 1 0,229 Willimantic Chronicle 6 ,169

Gardendale North Jefferson News 2 ,662 Napa Register 1 2,722

Jasper Mountain Eagle 9 ,623 Oakland Tribune 4 0,919 Delaware 122,327

Montgomery Advertiser 4 3,068 Ontario Bulletin Express 6 7,705 Wilmington News Journal 1 08,100

Opelika/Auburn News 1 4,439 Ontario Inland Valley Daily Bulletin 5 6,054 Wilmington News Journal -- Sunday Select 1
4,227

Ontario Inland Valley Daily Bulletin --

Alaska 8 ,782 Sunday Select 5 ,238 Washington DC 303,476

Juneau Empire 4 ,153 Palm Springs Cathedral Sun 1 0,000 Washington Examiner 3 03,476

Kenai Peninsula Clarion 4 ,629 Palm Springs Desert Sun 5 0,661

Palm Springs Indio Sun 9 ,000 Florida 1,463,723

Arizona 649,911 Palm Springs Sun 9 ,000 Brooksville Hernando Today 2 ,991

Bullhead City Mohave Valley Daily News 1 0,143 Palo Alto/Menlo Park The Daily News 1 7,500 Charlotte Harbor Sun 6 2,505

Casa Grande Dispatch 7 ,783 Pasadena Weekly Star 9,200 Coral Springs Forum 24,001

Nogales International 2 ,850 Pasadena Star-news -- Sunday Select 3 ,234 Crystal River Citrus County Chronicle 3 0,213

Arizona Republic 4 71,108 Placerville Mountain Democrat 1 1,224 Daytona Beach News-Journal 8 9,541

Arizona Republic - Sunday Select 4 8,000 Poway News Chieftain 1 5,090 Deerfield Beach Forum 9 ,100

Safford Eastern Arizona Courier 5 ,739 Ramona Ramona Sentinel 1 4,000 Ft. Lauderdale East Side Forum 2 6,805

Sierra Vista Herald 8 ,991 Rancho Bernardo News-Journal 1 7,276 Ft. Lauderdale El Sentinel 1 24,183

Tucson Star 9 4,797 Red Bluff News 6,182 Ft. Lauderdale/South Florida Sun Sentinel

Redlands Facts 6 ,561 -- Sunday Select 70,000

Arkansas 2 02,421 Ridgecrest Daily Independent 3 ,918 Ft. Lauderdale/South Florida Sun-Sentinel 2 51,437

Clinton Van Buren County Democrat 3 ,320 Riverside La Prensa 1 03,000 Ft. Myers News-Press 100,009

Conway Log Cabin Democrat 9 ,091 Roseville Press-Tribune 1 4,459 Jackson County Floridian 5 ,340

Fayetteville Northwest Arkansas Salinas Californian 1 2,119 Jacksonville Times-Union 1 48,504

Democrat-Gazette 6 0,597 San Bernardino Sun 5 8,003 Kissimmee Osceola News-Gazette 3 7,856

Fort Smith Times Record 3 8,516 San Francisco Examiner 2 53,457 Leesburg Commercial 2 0,180

Harrison Times 7 ,350 San Gabriel Valley Highlander 3 3,293 Margate & Coconut Creek Forum 1 4,250

Hot Springs Sentinel-Record 1 5,808 San Jose Mercury News 2 17,937 Melbourne Florida Today 7 5,762

More than 800 newspapers - Effective January 1, 2012 - Circulation 22,655,210

Jonesboro Sun 1 7,316 San Jose Mercury News -- Sunday Select 5 0,000 Melbourne Florida Today -- Sunday Select 4 ,032

Lonoke Democrat 1 ,405 San Mateo/Lompoc Times 2 4,694 Pensacola News Journal 5 9,563

Mountain Home Baxter Bulletin 9 ,664 Santa Cruz Sentinel 2 2,577 Pompano Beach Forum 1 1,700

North Little Rock Times 3 ,765 Solana Beach Sun 3,700 Sebring Highlands Today 1 5,922

Paragould Daily Press 4 ,815 South Lake Tahoe Daily Tribune 8 ,302 St. Augustine Record 18,117

Pine Bluff Commercial 1 1,239 Truckee Sierra Sun 6,371 Tallahassee Democrat 4 5,010

Russellville Courier 1 0,060 Ukiah Journal 5 ,993 Tampa Centro Mi Diario 41,242

Searcy Citizen 4 ,849 Vacaville Reporter 1 6,756 Tampa Tribune -- Sunday Select 5 3,500

Sherwood Voice 1 ,671 Vallejo Times-Herald 1 5,443 Tampa/Newport Richey Suncoast News 1 15,943

Van Buren Press Argus Courier 2 ,955 Victorville/Barstow Daily Press- Winter Haven News Chief 6 ,017

Desert Dispatch 2 5,846

California 3,255,020 Visalia Times-Delta 2 2,682 Georgia 640,910

Auburn Journal 9 ,764 Walnut Creek Contra Costa Times 148,197 Albany Herald 1 8,990

Benicia Herald 3 ,015 Watsonville Register-Pajaronian 5 ,210 Albany Herald -- Sunday Select 1 0,000

Big Bear Lake Grizzly Weekender 7 ,500 West Covina San Gabriel Valley Tribune -- Athens Banner-Herald 2 2,518

Carmel Valley News 1 6,723 Sunday Select 7,959 Atlanta Inquirer 40,000

Chico Enterprise-Record 3 1,097 Whittier Daily News -- Sunday Select 4 ,275 Augusta Chronicle 6 3,632

Davis Enterprise 8 ,585 Woodland Democrat 8 ,312 Canton Cherokee Tribune 4 ,911

Eureka Times-Standard 1 9,720 Yreka Siskiyou Daily News 5 ,885 Carrollton Times-Georgian 6 ,861

Fairfield Republic 1 8,422 Yucca Valley Hi-Desert Star 7 ,300 Cartersville Daily Tribune News 6 ,409

Gilroy Dispatch 8 ,712 Yucca Valley Observation Post 6,400 Cumming Forsyth County News 14,566

Glendale News-Press 7 ,855 Cumming South Forsyth News 1 6,000

Grass Valley The Union 1 3,997 Colorado 628,533 Dalton Citizen 1 0,742

Hayward/Fremont/Newark/Pleasanton Aspen Times 8 ,000 Douglas County Sentinel 2 ,546

ANG Newspapers 7 8,530 Denver Post 448,165 Dublin Courier Herald 9 ,463

Hollister Weekend Pinnacle 1 7,327 Denver Post -- Sunday Select 5 1,000 Gainesville Times 2 6,015

Laguna Beach Coastline Pilot 2 1,855 Durango/Cortez Herald-Journal 1 1,736 Griffin News 6,078

Lakeport Record-Bee 6 ,688 Fort Collins Coloradoan 2 5,982 Jonesboro/McDonough Clayton News Daily 3 ,794

Lodi News-Sentinel 1 3,349 Frisco Summit Daily News 1 0,250 LaGrange Daily News 9 ,729

Long Beach Impacto USA 2 12,530 Glenwood Springs Post Independent 9 ,150 Lawrenceville/Conyers/Rockdale

Los Angeles County Breeze 5 8,543 Granby Sky Hi News 5,000 Daily Post-Citizen 1 08,705

Los Angeles County Press Telegram 6 2,777 Grand Junction Free Press 1 0,000 Lawrenceville Gwinnett Daily Post

Los Angeles County Star News- Greeley Tribune 2 1,863 -- Sunday Select 17,000

Valley Tribune-Daily News 7 9,714 Steamboat Springs Steamboat Today 8 ,736 Marietta Journal 15,944

Los Angeles Daily News 9 2,320 Vail Daily 1 1,372 Marietta Neighbor Papers 1 54,516

Los Angeles Fin de Semana 7 40,567 Windsor now 7 ,279 Newnan Times-Herald 9 ,510

Proposed

Georgia (continued) Indiana (continued) Maryland 178,760

Savannah Morning News 5 5,377 Muncie Star-Press 2 8,150 Annapolis Capital 3 8,247

Winder Barrow County News 7 ,604 New Castle Courier-Times 6 ,479 Annapolis Maryland Gazette 2 1,482

Peru Tribune 3 ,845 Baltimore Times 20,000

Hawaii 172,620 Richmond Palladium-Item 1 5,469 Easton Sunday Star 15,782

Hilo Tribune-Herald 1 9,266 Shelbyville News 5 ,577 Frederick News-Post 34,602

Honolulu Star-Advertiser 1 32,281 Vincennes Sun-Commercial 7 ,232 Salisbury Times 23,151

Kailua/Kona West Hawaii Today 1 2,805 Wabash Plain Dealer 3 ,176 Westminster Carrol County Times 25,496

Lihue Garden Island 8 ,268 Warsaw Times-Union 1 0,383

Massachusetts 435,656

Idaho 35,830 Iowa 266,909 Attleboro Sun Chronicle 1 5,736

Coeur D'Alene Press 3 0,584 Burlington Hawk Eye 1 8,413 Beverly News 2 1,828

Moscow-Pullman Daily News 5 ,246 Centerville Daily Iowegian 2 ,375 Boston Herald 87,066

Council Bluffs Nonpareil 1 4,838 Brockton Enterprise 27,233

Illinois 1,143,062 Des Moines Register 2 00,205 Fall River Herald News 1 6,271

Arlington Heights Reflejos 9 6,000 Des Moines Register -- Sunday Select 9 ,657 Fitchburg Sentinel & Enterprise 1 4,379

Aurora Beacon News 1 9,951 Ft. Madison The Daily Democrat 4,480 Framingham Tab 6,956

Benton Evening News 2 ,221 Iowa City Press-Citizen 1 2,060 Framingham Natick Bulletin & Tab 8 69

Centralia Morning Sentinel 1 4,883 Keokuk Daily Gate City 4,881 Framingham/Milford Metrowest

Chicago New Crusader 9 0,071 Daily News 2 8,694

Chicago La Raza 1 52,046 Kansas 153,207 Gloucester Daily Times 8 ,052

Chicago Sun-Times 2 24,839 Abilene Reflector-Chronicle 3 ,350 Greenfield Recorder 1 1,318

Chicago Sun-times -- Sunday Select 3 0,924 Arkansas City Traveler 4,091 Lowell Sun 40,412

Crystal Lake Northwest Herald 3 3,937 Chanute Tribune 3 ,682 Marshfield Abington Mariner 9 55

Danville Commercial-News 1 1,494 Dodge City Globe 4 ,004 Marshfield Rockland Standard 7 44

De Kalb Daily Chronicle 9 ,997 Emporia Gazette 6,162 Newburyport Daily News 1 0,042

Downers Grove Press Publications-Bartlett 5 ,731 Garden City Telegram 7,363 North Adams Transcript 5,921

Du Quoin Evening Call 3 ,470 Hays News 1 0,866 North Andover Eagle-Tribune 3 9,615

Eldorado Journal 6 45 Hutchinson News 2 8,850 Northampton Hampshire Gazette 1 7,741

Elgin Courier News 5 ,667 Lawrence Journal-World 1 6,291 Pittsfield/Berkshire Eagle 2 5,249

Elmhurst Press Publications 2 1,683 Leavenworth Times 4 ,065 Quincy Patriot Ledger 48,522

Harrisburg Register 2 ,793 Newton Kansan 6,120 Rayham Canton Journal 4 46

Joliet Herald-News 3 1,343 Ottawa Herald 4,568 Taunton Gazette 7,607

Kankakee Daily Journal 2 7,161 Parsons Sun 4,329

La Salle/Peru/Oglesby/Spring Valley Pittsburg Sun 5 ,759 Michigan 1,145,537

News-Tribune 1 5,996 Topeka Capital-Journal 3 9,302 Alpena News 8 ,803

Lemont Reporter/Met 4 ,488 Winfield Courier 4 ,405 Battle Creek Enquirer 15,788

Marion Republican 2 ,051 Benton Harbor/St. Joseph Herald-Palladium 1 8,096

Morris Daily Herald 5 ,186 Kentucky 368,128 Big Rapids/Manistee Pioneer-

Mt. Carmel Daily Republican Register 3 ,943 Bardstown Kentucky Standard 8,185 News Advocate 8,515

Naperville Sun 1 2,069 Frankfort State Journal 8,220 Cheboygan Daily Tribune 4 ,125

Oak Brook Suburban Life 4 ,420 Harlan Enterprise 5 ,628 Coldwater Daily Reporter 5 ,355

Olney Daily Mail 3 ,450 Hopkinsville New Era 1 0,100 Detroit News and Free Press 4 85,803

Pontiac Leader 2 ,936 Louisville Courier-Journal 2 30,649 Detroit Free Press -- Sunday Select 2 08,363

Rock Island/Moline/East Moline Louisville Courier-Journal - Sunday Select 2 7,569 Escanaba Press 7,917

Argus-Dispatch 4 0,900 Madisonville Messenger 6 ,268 Grand Haven Tribune 9,064

Rockford Register Star 5 6,114 Middlesboro News 6 ,400 Greenville News 6 ,661

Rockford Register Star -- Sunday Select 5 ,000 Owensboro Messenger-Inquirer 2 4,978 Hillsdale News 6 ,010

Shelbyville Daily Union 2 ,290 Paducah Sun 2 0,312 Holland Sentinel 1 7,611

St. Charles Chronicle 9 ,891 Prestonsburg Floyd County Times 5,763 Houghton Mining Gazette 7 ,793

Sterling/Rock Falls Sauk Valley 1 7,432 Richmond Register 5 ,385 Howell Livingston County

Suburban Chicago Herald 1 10,824 Russellville News Democrat & Leader 4 ,655 Daily Press & Argus 16,579

Suburban Chicago Southtown 4 3,711 Winchester Sun 4,016 Iron Mountain/Kingsford News 9 ,172

Waukegan/Lake County News Sun 1 5,875 Ironwood Daily Globe 6 ,400

West Frankfort American 1 ,630 Louisiana 218,358 Lansing Community Newspapers 8 3,059

Alexandria Town Talk 2 6,485 Lansing State Journal 6 6,119

Indiana 564,852 Bogalusa Daily News 6 ,600 Livonia Eccentric 24,742

Bluffton News-Banner 4 ,417 Covington St. Tammany News 2 1,100 Livonia Observer 5 4,642

Connersville News Examiner 5 ,690 Hammond Star 1 0,507 Owosso Argus-Press 8,825

Crawfordsville Journal Review 6 ,197 La Place L'Observeteur 5,000 Port Huron Times-Herald 19,463

Elkhart Truth 2 3,075 Lafayette Advertiser 4 1,356 Sturgis Journal 5 ,932

Frankfort Times 3 ,397 Monroe News-Star 2 8,500 Grand Traverse Insider 40,700

Huntington Herald-Press 4 ,576 Sunday Iberian 1 2,237

Indianapolis Star 2 72,416 Opelousas World 7 ,001 Minnesota 498,222

Indianapolis Star -- Sunday Select 4 0,000 Shreveport Times 5 1,005 Brainerd Dispatch 1 5,964

Jasper Herald 1 1,586 Thibodaux Comet 8 ,567 Eden Prairie Minnesota Sun Newspapers 3 72,534

Kendallville Publishing Company 1 7,369 Fairmont Sentinel 5 ,891

La Porte Herald Argus 8 ,629 Maine 84,652 Fergus Falls Journal 5 ,415

Lafayette/West Lafayette Journal & Courier 2 7,711 Augusta-Waterville Kennebec Journal- Marshall Independent 6 ,148

Marion Chronicle Tribune 1 2,118 Morning Sentinel 2 5,313 Rochester Post-Bulletin 4 3,587

Merriville Post-Tribune 4 0,301 Bangor News 5 3,868 St. Cloud Times 31,481

Michigan City News-Dispatch 7 ,059 Biddeford Journal-Tribune 5 ,471 Stillwater Gazette 17,202

Proposed
Mississippi 111,378 New York (continued) Ohio (continued)
Cleveland Bolivar Commercial 5 ,451 Elmira Star-Gazette 2 5,516 Jackson County Times-Journal 5 ,500
Corinth Corinthian 6 ,139 Hudson Register-Star-Daily Mail 7 ,146 Kent/Ravenna Record-Courier 1 6,531
Hattiesburg American 1 5,560 Ithaca Journal 1 5,347 Lewis Center This Week
Jackson Clarion-Ledger 7 5,495 Jamestown Post-Journal 1 6,159 Community Newspapers 3 28,209
Natchez Democrat 8 ,733 Long Island Newsday 3 57,371 Lisbon Morning Journal 1 0,051
Melville This Week 3 00,746 Lorain Journal 2 2,763
Missouri 131,901 New York City Daily News 4 99,971 Mansfield News Journal 2 0,110
Columbia Tribune 1 7,670 Niagara Falls Niagara County Marietta Times 1 1,031
Hannibal Courier-Post 5 ,527 Community Newspapers 2 8,110 Martins Ferry/Belmont County Times Leader 1 6,087
Independence/Blue Springs Examiner 1 1,407 Olean Times Herald 1 2,601 Medina Gazette 11,408
Kirksville Daily Express 3 ,200 Oswego Palladium-Times 5 ,467 Miami Valley Sunday News 9 ,359
Maryville Daily Forum 2 ,017 Owego Pennysaver 1 9,420 Napoleon Northwest Signal 4 ,461
Mexico Ledger 5 ,026 Poughkeepsie Journal 3 8,312 Newark Advocate Group 8 3,732
Moberly Monitor - Index & Evening Democrat 3 ,846 Rochester Democrat and Chronicle 1 75,146 Norwalk Reflector 8 ,111
Rolla Daily News 3 ,890 Saratoga Springs Saratogian 7 ,220 Piqua Call 6,467
Springfield News-Leader 6 3,158 Schenectady Gazette 4 0,705 Pomeroy-Gallipolis Daily Sentinel-Daily Tribune 6 ,723
Washington Missourian 1 6,160 Troy Record 1 0,358 Portsmouth Times 11,525
Utica Observer-Dispatch 4 0,887 Sandusky Register 1 8,876
Montana 28,856 Watertown Times 2 5,265 Sidney News 1 1,353
Great Falls Tribune 2 8,856 White Plains Journal News 1 03,543 Steubenville Herald-star 1 3,808
White Plains Yonkers/Mt. Vernon Express 9 0,785 Stow Sentry 14,630
Nebraska 43,890 Tallmadge Express 8 ,813
Fremont Tribune 7 ,256 North Carolina 468,958 Tiffin Advertiser-Tribune 8 ,890
Hastings Tribune 9 ,549 Asheboro Courier-Tribune 1 3,051 Urbana Citizen 4 ,981
Kearney Hub 1 1,285 Asheville Citizen-Times 4 9,537 Van Wert Times-Bulletin 4,420
Norfolk Daily News 1 5,800 Boone Watauga Democrat 2 ,934 Warren Tribune Chronicle 3 0,733
Boone Watauga Mountain Times 14,500 Washington Court House Record-Herald 5 ,000
Nevada 306,763 Charlotte Carolina Weekly Newspapers 9 3,000 Willoughby Lake County News-Herald 4 0,486
Boulder City Review 2 ,400 Clinton Sampson Independent 8 ,383 Wilmington News-Journal 6 ,150
Carson City Nevada Appeal 1 3,559 Concord Harrisburg Horizons 5 ,475
Fallon Lahontan Valley News 2 ,493 Concord/Kannapolis Independent Tribune 1 2,442 Oklahoma 250,075
Las Vegas El Tiempo 5 0,000 Durham Herald-Sun 2 5,390 Ada Evening News 6 ,699
Las Vegas Review -Journal 1 51,223 Eden News 2 ,448 Altus Times 4,204
Mesquite Desert Valley Times 7 ,100 Elizabethtown Bladen Journal 4 ,557 Ardmore Sunday Ardmoreite 9 ,343
Pahrump Valley Times 7 ,065 Elkin Tribune 4,421 Bartlesville Examiner-Enterprise 9 ,928
Reno Gazette-Journal 5 3,830 Forest City Courier 6,407 Chickasha Star 3,779
Reno Gazette-journal -- Sunday Select 1 7,293 Henderson Dispatch 6 ,700 Duncan Banner 6,500
Tonopah Times-Bonanza 1 ,800 Hickory Record 1 8,775 Durant Democrat 5,376
Hickory Daily Record -- Sunday Direct 1 0,000 Edmond Sun 3,261
New Hampshire 71,548 High Point Enterprise 1 8,355 Enid News & Eagle 1 5,372
Concord Monitor 1 7,070 The Laurinburg Exchange 6 ,071 Lawton Sunday Constitution 2 2,671
Dover/Laconia Citizen-Foster's Lenoir News-Topic 6 ,700 McAlester News-Capitol 6 ,026
Sunday Citizen 1 4,285 Lexington Dispatch 8 ,585 Norman Transcript 11,303
Lebanon/Hanover Valley News 1 7,017 Lumberton Robesonian 1 5,555 Pauls Valley Daily Democrat 2 ,890
Nashua Telegraph 2 3,176 Marion McDowell News 4 ,172 Shawnee News-Star 7,800
Monroe Enquirer-Journal 6 ,699 Stillwater News-Press 7,421
New Jersey 346,620 Morganton News-Herald 8 ,815 Tulsa World 127,502
Bridgewater Courier-News 2 1,644 Mount Airy News 9,813
Camden/Cherry Hill Courier-Post 6 4,620 Reidsville Review 3 ,699 Oregon 88,209
East Brunswick Home News Tribune 4 1,448 Roanoke Rapids Herald 8 ,955 Daily Astoria 6,974
Morristown/Parsippany Record 2 5,464 Rockingham Richmond County Daily Journal 8 ,143 Grant's Pass Courier 17,003
Neptune Asbury Park Press 1 57,063 Salisbury/Spencer/East Spencer Post 1 9,408 Roseburg News-Review of Douglas County 1 7,942
Trenton Trentonian 2 0,964 Sanford Herald 7 ,900 Salem Statesman-Journal 4 6,290
Vineland Journal 1 5,417 Statesville Record & Landmark 1 2,259
West Jefferson Ashe Mountain Times 1 0,500 Pennsylvania 813,723
New Mexico 185,671 Wilson Times 1 4,195 Altoona Mirror 3 6,242
Alamagordo Times 6 ,253 Winston-salem Journal -- Sunday Direct 2 1,114 Bloomsburg Press-Enterprise 2 0,368
Albuquerque Journal 8 6,822 Bradford Era 1 0,056
Belen Valencia County News-Bulletin 2 1,105 Ohio 1,373,458 Butler Eagle 2 5,832
Carlsbad Current-Argus 6 ,442 Akron Cuyahoga Falls News Press 2 2,353 Chambersburg Public Opinion 1 7,011
Farmington Times 1 6,201 Bowling Green Sentinel-Tribune 9 ,674 Clearfield Progress 1 0,467
Gallup Independent 2 0,077 Bryan Times 9,486 Greensburg Tribune-Review 1 80,064
Las Cruces Sun-News 2 1,916 Cincinnati Enquirer 2 55,128 Hanover Sun 1 8,176
Los Alamos Monitor 3 ,725 Cincinnati The Enquirer -- Sunday Select 2 7,413 Hazleton Standard-Speaker 2 1,906
Socorro El Defensor Chieftain 3 ,130 Columbus Dispatch 2 65,879 Indiana Gazette 1 4,548
Columbus Dispatch Sunday Savings 2 0,000 Lansdale Reporter 9 ,388
New York 1,898,744 Fairborn-Xenia Daily Herald Gazette Lebanon News 1 8,272
Adirondack Enterprise 4 ,700 News-Current 5,716 Lehighton Times News 1 2,931
Batavia Daily News 1 2,456 Greenville Advocate 4 ,678 Lewistown Sentinel 1 2,045
Binghamton Press & Sun-Bulletin 5 3,071 Hillsboro Times-Gazette 3 ,463 Lock Haven Express 9,044
Dunkirk/Fredonia Observer 8 ,442 Hudson Hub-Times 9 ,460 McKeesport/Duquesne/Clairton News 1 1,398
Proposed
Pennsylvania (continued) Texas (continued) Washington (continued)
Meadville Tribune 1 1,431 Clute Brazosport Facts 1 5,162 Everett Federal Way Mirror 30,208
New Kensington-Tarentum-Vandegrift Colony Courier Leader 7 ,345 Everett Herald 49,086
Valley News Dispatch 2 4,585 Conroe Courier 9 ,590 Everett North Kitsap Herald 12,586
Norristown Times Herald 9 ,536 Denton Record Chronicle 1 1,982 Everett Port Orchard Independent 1 8,925
Phoenixville Phoenix 9 ,396 El Paso Times 7 0,449 Everett South Whidbey Record 3 ,850
Pottstown Mercury 1 9,581 Flower Mound Leader 2 0,500 Everett Whidbey News Times 5,875
Primos Delaware County Times 3 1,526 Frisco Enterprise 1 9,510 Issaquah/Sammamish Reporter 2 9,377
Scranton Times-Tribune 6 3,724 Galveston County News 2 1,402 Kent Reporter 25,458
Smaokin/Pottsville News-Item - Houston East Texas Kirkland Reporter 2 6,035
Republic Herald 3 3,283 Community Newspapers 1 9,728 Montesano Vidette 3 ,189
Somerset Daily American 1 2,640 Houston Community Newspapers 3 08,089 Moses Lake Columbia Basin Herald 8 ,073
Sunbury Danville News 1 ,547 Irving Rambler 3,529 Mount Vernon Skagit Valley Herald 1 5,606
Towanda Sunday Review 8 ,803 Killeen Herald 2 0,547 Port Angeles Peninsula Daily News 1 5,758
Warren Times-Observer 8 ,724 Laredo/Zapata Morning Times 1 5,932 Redmond Reporter 2 4,234
Washington Observer-Reporter 3 3,203 Lewisville Leader 1 0,085 Renton Reporter 2 5,939
West Chester Local News 2 0,397 Little Elm Journal 6,350 Wenatchee World 20,268
Wilkes-Barre Sunday Voice 2 6,187 Longview News-Journal 2 6,613
York Sunday News 7 1,412 Lubbock Avalanche-Journal 4 3,200 West Virginia 110,350
Lufkin Daily News 1 1,184 Charleston Gazette-Mail 4 9,740
Rhode Island 35,135 Marshall News Messenger 5 ,950 Elkins Inter-Mountain 9,050
Kent County Times 2 ,236 McAllen Monitor 4 2,808 Gallipolis/Point Pleasant Register 3 ,653
Newport Daily News 1 0,035 McKinney Courier-Gazette 2 5,855 Huntington Herald-Dispatch 2 8,830
Pawtucket/Central Falls Times 6 ,463 Mesquite News 2 3,810 Logan Banner 6 ,853
Westerly Sun 6 ,984 Nacogdoches Daily Sentinel 7 ,514 Weirton Daily Times 4,844
Woonsocket Call 9 ,417 New Braunfels Herald-Zeitung 8 ,569 Williamson Daily News 7 ,380
Orange Leader 4 ,251
South Carolina 214,229 Plano Star Courier 6 5,618 Wisconsin 707,551
Aiken Standard 1 5,933 Port Arthur News 1 1,129 Appleton Post-Crescent 5 6,117
Florence Morning News 2 8,004 Rowlett Lakeshore Times 4 ,325 Beloit My Stateline Shopper 1 9,200
Georgetown Times 6 ,356 San Marcos Daily Record 5 ,750 Beloit News 12,289
Goose Creek Gazette 1 1,000 Seguin Gazette-Enterprise 5 ,972 Fond Du Lac Reporter 13,782
Greenville News 1 03,195 Sherman/Denison Herald Democrat 2 0,656 Green Bay Press-Gazette 73,024
Greenville News -- Sunday Select 1 4,507 Van Alstyne Leader 9 52 Janesville Gazette 22,618
Lancaster News 1 1,822 Weatherford The Democrat 4,122 Manitowoc/Two Rivers Herald Times Reporter 1 2,546
Newberry Observer 6 ,869 Marinette Eagle Herald 8 ,464
Summerville Journal Scene 4 ,432 Utah 79,273 Milwaukee Journal Sentinel 3 40,446
Union Daily Times 7 ,059 Ogden Standard-Examiner 5 7,631 Milwaukee Journal Sentinel -- Sunday Select 1 0,000
Winnsboro Herald Independent 5 ,052 St. George Spectrum 21,642 Oshkosh Northwestern 1 9,885
Rhinelander Star Journal 1 6,080
South Dakota 61,616 Vermont 55,125 Sheboygan Press 1 8,955
Sioux Falls Argus Leader 5 3,508 Bennington Banner 6 ,183 Superior Telegram 6 ,065
Yankton Press & Dakotan 8 ,108 Brattleboro Reformer 8,460 Watertown Times 7,750
Burlington Free Press 4 0,482 Wausau Marshfield New-Herald--
Tennessee 473,452 Sunday Select 5 ,142
Athens Post-Athenian 9 ,832 Virginia 382,677 Wausau Stevens Point Journal--
Clarksville Leaf-Chronicle 1 9,175 Bristol Herald-Courier 3 0,178 Sunday Select 7,720
Cleveland Banner 1 4,172 Charlottesville Progress 2 5,241 Wausau Daily Herlad -- Sunday Select 1 0,367
Columbia Herald 1 2,020 Culpeper Star-Exponent 6 ,191 Wausau Wisconsin Rapids Daily Triubune --
Cookeville Herald-Citizen 1 1,394 Danville Register & Bee 1 7,822 Sunday Select 5,060
Dickson Herald 4 ,890 Fredericksburg Free Lance-Star 4 6,135 Wausau-Stevens Point Central WI Sunday 1 9,123
Elizabethton Star 1 0,081 Harrisonburg News Record 2 7,381 Wausau-Stevens Point Herald-Central
Gallatin News-Examiner 4 ,354 Lynchburg News & Advance 3 3,876 WI Sunday 22,918
Greeneville Sun 1 3,894 Petersburg Progress-Index 1 2,206
Hendersonville Star News 2 0,500 Richmond Times Dispatch -- Sunday Direct 1 12,500 Wyoming 20,038
Jackson Sun 3 1,713 Staunton News Leader 1 6,803 Cheyenne Wyoming Tribune-Eagle 1 5,061
Kingsport Times-News 3 7,040 Strasburg Northern Virginia Daily 1 3,318 Laramie Boomerang 4 ,977
Lebanon Democrat 7 ,394 Waynesboro News Virginian 6 ,010
Maryville/Alcoa Times 1 7,868 Winchester Star 2 2,142
Murfreesboro News Journal 1 6,206 Woodbridge-Manassas Potomac News
Nashville Tennessean 2 04,328 & Journal Messenger 1 2,874
Nashville Tennessean -- Sunday Select 1 7,488
Newport Plain Talk 6 ,908 Washington 464,202 Contact your local USA WEEKEND representative:
Oak Ridge Oak Ridger 6 ,466 Aberdeen Daily World 1 0,938 New York: 212-715-2100
Sevierville Mountain Press 7 ,729 Aberdeen South Beach Buklletin 4 ,450 Chicago: 312-321-7762
Bellevue Reporter 3 9,281 Detroit: 248-680-1220
Texas 979,878 Centralia/Chehalis Chronicle 1 2,800 Los Angeles: 310-444-2140
Allen American 2 2,440 Everett Auburn Reporter 2 4,145 Virginia: 703-854-6445
Amarillo Globe-News 4 4,459 Everett Bainbridge Island Review 3 ,936
Baytown Sun 8 ,535 Everett Bremerton Patriot 12,112
Bryan/College Station Eagle 2 1,891 Everett Central Kitsap Reporter 1 7,962
Cleburne Times-Review 4 ,075 Everett Covington/Maple Valley Reporter 2 4,111
Source: USA WEEKEND Magazine's Total Circulation reflects 1/1/12 carrier newspaper
market list. Carrier newspaper circulation figures based on ABC, CAC, VAC or publishercertrified
circulation for the most recent 6-month audit period.
Proposed
EXHIBIT B
Proposed
24-­‐7
Network
Sample
Sites
Page
1
of
16
SiteUrl Channel
Autoaubaine.com Automotive
autokmh.com Automotive
automotto.com Automotive
automotto.org Automotive
Autosmag.ca Automotive
carsoundsystemsideas.com Automotive
CVAutos.com Automotive
leblogauto.ca Automotive
Motomag.ca Automotive
natm.com Automotive
Vrmagazine.ca Automotive
1SeriesOnline.com Automotive
240Forum.com Automotive
300cForums.com Automotive
350z-­‐tech.com Automotive
3si.org Automotive
460Ford.com Automotive
4RunnerForum.com Automotive
4WDAndSportUtility.com Automotive
4WheelOffRoad.com Automotive
502streetscene.net Automotive
6mt.net Automotive
6speedOnline.com Automotive
7thGenHonda.com Automotive
8-­‐Lug.com Automotive
8thCivic.com Automotive
a5oc.com Automotive
AceLinks.net Automotive
acuraforums.com Automotive
acuralegend.com Automotive
AcuraWorld.com Automotive
acurazine.com Automotive
ATVConnection.com Automotive
audia1forum.com Automotive
AudiForum.ca Automotive
audiforums.com Automotive
Audi-­‐Forums.com Automotive
audiworld.com Automotive
AutoBuyGuide.com Automotive
AutoCreditExpress.com Automotive
autoexpert.ca Automotive
AutoFederation.com Automotive
autoguide.com Automotive
AutoLoansinDetroit.com Automotive
AutoLoansinMichigan.com Automotive
AutomobileMag.com Automotive
Automotive.com Automotive
AutomotiveAddicts.com Automotive
Proposed
24-­‐7
Network
Sample
Sites
Page
2
of
16
automotiveprimers.com Automotive
automotoportal.com Automotive
AutoNetFinancial.com Automotive
autoshopper.com Automotive
Autospies.com Automotive
autotraderclassics.com Automotive
B15Sentra.net Automotive
BadCreditCarDealers.com Automotive
BenzForum.com Automotive
BenzWorld.org Automotive
bikerspost.com Automotive
bimmerfile.com Automotive
BimmerWerkz.com Automotive
BlazerForum.com Automotive
blog.autoshopper.com Automotive
bmwblog.com Automotive
BonnevilleForum.com Automotive
BoxsterForums.com Automotive
bringatrailer.com Automotive
Buickforum.com Automotive
BuyandPayHere.com Automotive
Cadillacforum.com Automotive
CaliberForums.com Automotive
CamaroForums.com Automotive
CamaroPerformers.com Automotive
Camaros.net Automotive
CanadianCarAudio.com Automotive
CarAndDriver.com Automotive
caraudiomag.com Automotive
carbodydesign.com Automotive
CarCraft.com Automotive
CarGurus.com Automotive
carreviewsandnews.com Automotive
CarSoup.com Automotive
CBRForum.com Automotive
ChallengerTalk.com Automotive
ChargerForums.com Automotive
CherokeeSRT8.com Automotive
Chevelles.com Automotive
Chevroletforum.com Automotive
chevyhiperformance.com Automotive
ChevyMalibuForum.com Automotive
ChevyTeam.com Automotive
chryslerforum.com Automotive
cincystreetscene.com Automotive
circletrack.com Automotive
CivicForums.com Automotive
classiccars.com Automotive
classicdriver.com Automotive
Proposed
24-­‐7
Network
Sample
Sites
Page
3
of
16
ClassicOldsmobile.com Automotive
classictrucks.com Automotive
Clubarmada.com Automotive
ClubFrontier.org Automotive
ClubLexus.com Automotive
ClubTitan.org Automotive
ClubXterra.org Automotive
CobaltSS.com Automotive
ColoradoFans.com Automotive
ConsumerGuideAuto.HowStuffWorks.com Automotive
Corral.net Automotive
Corvette-­‐Forum.com Automotive
CorvetteForums.com Automotive
Crash.net Automotive
crosstourownersclub.com Automotive
CruzeChat.com Automotive
CRVownersClub.com Automotive
CT200Hforum.com Automotive
CumminsForum.com Automotive
customclassictrucks.com Automotive
CustomTacos.com Automotive
dealsonwheels.com Automotive
DieselPlace.com Automotive
dieselpowermag.com Automotive
DigitalCorvettes.com Automotive
dodgechallenger.com Automotive
dodgeforum.com Automotive
DodgeIntrepid.net Automotive
Dodge-­‐Nitro.com Automotive
DriveAccord.net Automotive
DrivenMag.com
Automotive
DriversLane.com Automotive
Driveway.ca
Automotive
D-­‐series.org Automotive
DSMTalk.com Automotive
DuramaxForum.com Automotive
ElCaminoCentral.com Automotive
ElementOwnersClub.com Automotive
EuropeanCarWeb.com Automotive
EuroTuner.com Automotive
EvolutionM.net Automotive
evotuners.net Automotive
F150Online.com Automotive
FCXclub.com Automotive
Ferrari-­‐Talk.com Automotive
Fiat500owners.com Automotive
FindCarsUnder1000.com Automotive
FitFreak.net Automotive
FitOwnersClub.com Automotive
Proposed
24-­‐7
Network
Sample
Sites
Page
4
of
16
FJCruiserForums.com Automotive
FordForums.com Automotive
FordGT500.com Automotive
Ford-­‐Trucks.com Automotive
ForteForums.com Automotive
fourtitude.com Automotive
FourWheeler.com Automotive
FT86talk.com Automotive
FullsizeBronco.com Automotive
G35Driver.com Automotive
g6ownersclub.com Automotive
G8Board.com
Automotive
G8Forum.com Automotive
gaspedaladdicts.com Automotive
GenCoupe.com Automotive
GenesisForums.com Automotive
GermanAutoForums.com Automotive
getauto.com Automotive
Gmforum.com Automotive
gmhightechperformance.com Automotive
Gminsidenews.com Automotive
greencar.com Automotive
GreenHybrid.com Automotive
Gtcars.ca Automotive
GTOForum.com Automotive
GTRforums.com Automotive
H2Fanatic.com Automotive
HDForums.com Automotive
hemmings.com Automotive
highperformancepontiac.com Automotive
HondaAccordForum.com Automotive
Honda-­‐Acura.net Automotive
HondaCivicForum.com Automotive
HondaForum.com Automotive
HondaMarketPlace.com Automotive
HondaPoint.com Automotive
Honda-­‐Tech.com Automotive
HondaTuningMagazine.com Automotive
hotrod.com Automotive
HummerForums.com Automotive
HybridCars.com Automotive
Hyundaiforum.com Automotive
HyundaiPerformance.com Automotive
i-­‐club.com Automotive
Impalas.net Automotive
importtuner.com Automotive
InsightCentral.net Automotive
IntelliChoice.com Automotive
InternetAutoGuide.com Automotive
Proposed
24-­‐7
Network
Sample
Sites
Page
5
of
16
IQ-­‐Forums.com Automotive
IsuzuForums.com Automotive
JaguarForums.com Automotive
japanesesportcars.com Automotive
JDPower.com Automotive
JeepCommander.com Automotive
JeepsCanada.com Automotive
JPMagazine.com Automotive
JukeForums.com Automotive
KawasakiForums.com Automotive
KiaSoulForums.com Automotive
kilometermagazine.com Automotive
kitcarmag.com Automotive
kitcars.com Automotive
Lamborghini-­‐Talk.com Automotive
LandRoverForums.com Automotive
LandRoversOnly.com Automotive
leftlanenews.com Automotive
LexusForum.com Automotive
lotpro.com Automotive
LotusTalk.com Automotive
lowriderarte.com Automotive
lowriderbike.com Automotive
lowridermagazine.com Automotive
LS1GTO.com Automotive
LS1LT1.com Automotive
LS1Tech.com Automotive
mautofied.com Automotive
Maxima.org Automotive
Mazda3Club.com Automotive
Mazda6Club.com Automotive
MazdaForum.com Automotive
MazdaWorld.org Automotive
MBWorld.org Automotive
MDXers.org Automotive
MercedesForum.com Automotive
MercedesMcLaren.com Automotive
MercuryForum.com Automotive
Mini2.com Automotive
MiniCooperForums.com Automotive
MiniTruckinWeb.com Automotive
mitsubishiforum.com/forum/ Automotive
ModdedMustangs.com Automotive
modernhemi.com Automotive
Modified.com Automotive
modifiedcars.com Automotive
modifiedle.com Automotive
ModMotorTech.com Automotive
MonteCarloForum.com Automotive
Proposed
24-­‐7
Network
Sample
Sites
Page
6
of
16
moparforums.com Automotive
moparmusclemagazine.com Automotive
motor.com Automotive
motorcrave.com Automotive
motoringfile.com Automotive
MotorTrend.com Automotive
motortrendenespanol.com Automotive
motosport.com Automotive
MuscleMustangFastFords.com Automotive
Mustang50Magazine.com Automotive
mustangandfords.com Automotive
MustangBoards.com Automotive
MustangForums.com Automotive
mustangmonthly.com Automotive
mwerks.com Automotive
MX6.com Automotive
My.is Automotive
My350z.com Automotive
MyG37.com Automotive
NewAgeGTO.com Automotive
NewCar.com Automotive
NewScionXB.com Automotive
NissanClub.com Automotive
NissanForum.com Automotive
NissanMaximas.com Automotive
NIssanMurano.org Automotive
NorthAmericanMotoring.com Automotive
Novas.net Automotive
OdysseyOwnersClub.com Automotive
off-­‐road.com Automotive
off-­‐roadweb.com Automotive
OldsmobileForum.com Automotive
OptimaForums.com Automotive
PassionFord.com Automotive
Performancetrucks.net Automotive
Piloteers.org Automotive
PontiacTalk.com Automotive
PopularHotRodding.com Automotive
Powerstroke.org Automotive
PreludeOnline.com Automotive
R8Talk.com Automotive
ranger-­‐Forums.com Automotive
rcuniverse.com Automotive
RedlineForums.com Automotive
redliners.ca Automotive
RegalForums.com Automotive
RennList.com Automotive
RidgelineOwnersClub.com Automotive
RoadAndTrack.com Automotive
Proposed
24-­‐7
Network
Sample
Sites
Page
7
of
16
rodandcustommagazine.com Automotive
rsportscars.com Automotive
RVMagOnline.com Automotive
RX7Club.com Automotive
RX8Club.com Automotive
S10forum.com Automotive
S2000.com Automotive
Saabforums.com Automotive
SaabScene.com Automotive
Saturnforum.com Automotive
S-­‐chassis.com Automotive
ScionForum.com Automotive
Scionlife.com Automotive
scoobynet.com Automotive
seriouswheels.com Automotive
skyroadster.com Automotive
smartcarofamerica.com Automotive
sportcompactcarweb.com Automotive
sportscardigest.com Automotive
sporttruck.com Automotive
Sr20Forum.com Automotive
StevesNovaSite.com Automotive
stockcarracing.com Automotive
streetrodderweb.com Automotive
Stuntlife.com Automotive
SubaruForester.org Automotive
SubaruOutback.org Automotive
supercars.net Automotive
superchevy.com Automotive
SuperhawkForum.com Automotive
superhonda.com Automotive
superstreetonline.com Automotive
suzukiforum.com Automotive
Suzuki-­‐Forums.com Automotive
swedespeed.com Automotive
TaurusClub.com Automotive
tennspeed.net Automotive
thatsracin.com Automotive
TheDieselStop.com Automotive
thedriversnetwork.com Automotive
TheTruthaboutCars.com Automotive
TitanTalk.com Automotive
topgear.com Automotive
TorontoCivics.com Automotive
TorontoIntegras.ca Automotive
ToyotaCelicas.com Automotive
ToyotaNation.com Automotive
Toyota-­‐Yaris.com Automotive
TrailVoy.com Automotive
Proposed
24-­‐7
Network
Sample
Sites
Page
8
of
16
TruckForums.com Automotive
truckinweb.com Automotive
truckshopper.com Automotive
TruckTrend.com Automotive
TrueCar.com Automotive
TSXclub.com Automotive
TundraSolutions.com Automotive
TundraTalk.net Automotive
TunerFriends.com Automotive
Turbododge.com Automotive
TurboMagazine.com Automotive
vehix.com Automotive
velocetoday.com Automotive
VetteHound.com Automotive
vetteweb.com Automotive
Vintage-­‐mustang.com Automotive
ViperAlley.com Automotive
VoltForums.com Automotive
VolvoForums.com Automotive
Vseries.net Automotive
vweosclub.com Automotive
VWForum.com Automotive
VWTrendsWeb.com Automotive
vwvortex.com Automotive
Wikicars.org Automotive
WRXTuners.com Automotive
XLRForum.com Automotive
YotaTech.com Automotive
YourScionTC.com Automotive
Z06Vette.com Automotive
Zdriver.com Automotive
ZDXforum.com Automotive
boats.com Automotive
boatshopper.com Automotive
marine.com Automotive
sailinganarchy.com Automotive
sailingscuttlebutt.com Automotive
sailmag.com Automotive
sailnet.com Automotive
speedwake.com Automotive
YachtingMag.com Automotive
yachtworld.com Automotive
edmunds.com Automotive
lemonfree.com Automotive
sailboattraderonline.com Automotive
searchnycars.com Automotive
SmartCarFinder.com Automotive
usedcars.com Automotive
50mustangandsuperfords.com Automotive
Proposed
24-­‐7
Network
Sample
Sites
Page
9
of
16
astonmartinlife.com Automotive
automobilesdeluxe.tv Automotive
benzinsider.com Automotive
corvettefever.com Automotive
ferrarichat.com Automotive
ferrarilife.com Automotive
Insideline.com Automotive
lifewelldriven.com Automotive
maseratilife.com Automotive
megayachtnews.org Automotive
wealthywheels.com Automotive
atvrideronline.com Automotive
baggersmag.com Automotive
BikerForums.org Automotive
cycleworld.com Automotive
dirtrider.com Automotive
hotbikeweb.com Automotive
motocross.com Automotive
motorcyclecruiser.com Automotive
motorcyclistonline.com Automotive
powersports.honda.com Automotive
sportrider.com Automotive
streetchopperweb.com Automotive
superstreetbike.com Automotive
thumpertalk.com Automotive
atlanta.citybizlist.com CareerRecruiting
atlantajobs.com CareerRecruiting
baltimore.citybizlist.com CareerRecruiting
boston.citybizlist.com CareerRecruiting
bostonjobs.com CareerRecruiting
careerbuilder.com CareerRecruiting
charlotteraleigh.citybizlist.com CareerRecruiting
chicagojobs.com CareerRecruiting
ctjobs.com CareerRecruiting
dallas.citybizlist.com CareerRecruiting
dc.citybizlist.com CareerRecruiting
driverjobs.com CareerRecruiting
fayettevillejobs.com CareerRecruiting
houston.citybizlist.com CareerRecruiting
jacksonvillejobs.com CareerRecruiting
Jobbi.com CareerRecruiting
jobfetch.com CareerRecruiting
jobster.com CareerRecruiting
longislandjobs.com CareerRecruiting
monster.com CareerRecruiting
newjerseycareers.com CareerRecruiting
newyork.citybizlist.com CareerRecruiting
ontargetjobs.com CareerRecruiting
philly.citybizlist.com CareerRecruiting
Proposed
24-­‐7
Network
Sample
Sites
Page
10
of
16
pittsburgh.citybizlist.com CareerRecruiting
quintcareers.com CareerRecruiting
snagajob.com CareerRecruiting
southflorida.citybizlist.com CareerRecruiting
vegasjobs.com CareerRecruiting
americasjobexchange.com CareerRecruiting
Entrepreneur.com CareerRecruiting
tampacareers.com CareerRecruiting
abcya.com Education
academicpedsjnl.net Education
askthebrain.com Education
britannica.com Education
education.com Education
Infobourg.com
Education
collegecram.com Education
DegreeVillage.com Education
Dictionary.com Education
Education-­‐Reference.com Education
Thesaurus.com Education
reptilearchive.com Education
whaleindex.com Education
arthistorycommunity.com Education
50states.com Education
babylon.com/define/ Education
barnesandnoble.com Education
bookwolf.com Education
britannica.com Education
cafegenius.com Education
citationmachine.net Education
college-­‐cram.com Education
counselingeducation.com Education
dictionary-­‐babylon.com Education
ecampus.com
Education
helium.com Education
history.com Education
internet4classrooms.com Education
italki.com Education
jiffynotes.com Education
lawschoolschooldiscussion.org Education
maps.com Education
mapsofworld.com Education
Merriam-­‐Webster.com Education
ratemyteachers.com Education
rorotoko.com Education
schooldigger.com Education
shmoop.com Education
sparknotes.com Education
squidoo.com Education
studyworld.com Education
Proposed
24-­‐7
Network
Sample
Sites
Page
11
of
16
suite101.com Education
teleread.com Education
thefreedictionary.com Education
thesaurus.babylon.com Education
translation.babylon.com Education
visual.merriam-­‐webster.com Education
wordreference.com Education
worldatlas.com Education
Xplana.com Education
xtimeline.com Education
youniversitytv.com Education
freecourtdockets.com Education
lawyers.com Education
martindale.com Education
volokh.com Education
languageisavirus.com Education
literaturedepot.com Education
answers.com Education
bibme.org Education
brainyquote.com Education
easybib.com Education
howcast.com Education
ikonet.com Education
merriam-­‐webster.com Education
refdesk.com Education
RovingScholar.com Education
spanishdict.com Education
thefullwiki.com Education
wikia.com Education
wolframalpha.com Education
yourdictionary.com Education
anthropologycommunity.com Education
astrology.com Education
astronomyindex.com Education
biochemistrynetwork.com Education
biologycommunity.com Education
chemistryarchive.com Education
dinosaurnetwork.com Education
ineedce.com Education
popsci.com Education
scienceillustrated.com Education
985fm.ca Entertainment
985sports.ca Entertainment
adventoutpost.com Entertainment
Astro.qc.ca Entertainment
breakingdawnmovie.org Entertainment
britishexpats.com Entertainment
Chezmaya.com Entertainment
cime.fm Entertainment
Proposed
24-­‐7
Network
Sample
Sites
Page
12
of
16
Cinemaclock.com
Entertainment
ckoi.com Entertainment
Cliqueduplateau.com Entertainment
ConcoursConcours.com Entertainment
ConcoursWeb.com Entertainment
craveonline.com
Entertainment
dailyviral.com Entertainment
decodedstuff.com Entertainment
Dromadaire.com Entertainment
entertonement.com Entertainment
everyjoe.com Entertainment
filmannex.com Entertainment
GagnezGros.ca Entertainment
GillesParent.com Entertainment
Humourhumour.com Entertainment
Incroyable.org Entertainment
Leblogue.ca Entertainment
loftstory.abotch.com Entertainment
ma.planete.qc.ca Entertainment
marriland.com Entertainment
metromix.com Entertainment
moillusions.com Entertainment
monkeysee.com Entertainment
montrealnow.com Entertainment
motionfeeds.com Entertainment
mymodernmet.com Entertainment
mynippon.com Entertainment
mypodstudios.com Entertainment
n4g.com Entertainment
necolebitchie.com Entertainment
Norja.net Entertainment
ntdtv.com Entertainment
okmagazine.com Entertainment
ology.com Entertainment
omg-­‐facts.com Entertainment
over-­‐blog.com Entertainment
People.com Entertainment
phpmotion.in Entertainment
pinkvilla.com Entertainment
plunderguide.com Entertainment
Psychonet.fr Entertainment
rapdose.com Entertainment
richworldproblems.com Entertainment
Safarir.com Entertainment
sharenator.com Entertainment
slashfilm.com Entertainment
slightlywarped.com Entertainment
smackjeeves.com Entertainment
soapcentral.com Entertainment
Proposed
24-­‐7
Network
Sample
Sites
Page
13
of
16
splitsider.com Entertainment
starcasm.net Entertainment
starpulse.com Entertainment
superiorpics.com Entertainment
tasteofawesom.com Entertainment
teenspot.com Entertainment
thatvideosite.com Entertainment
theberry.com Entertainment
thecontaminated.com Entertainment
thehdroom.com
Entertainment
theinsider.com Entertainment
the-­‐leaky-­‐cauldron.org Entertainment
tomandlorenzo.com Entertainment
ToutACoup.ca Entertainment
tvfanatic.com Entertainment
Undergroundmusix.com Entertainment
Unmondefou.com Entertainment
unrealitymag.com Entertainment
VideoBB.com Entertainment
videoinmybackyard.com Entertainment
weeworld.com Entertainment
x17online.com Entertainment
ArtInfo.com Entertainment
artltdmag.com Entertainment
artruby.com Entertainment
artscenecal.com Entertainment
artwelove.com Entertainment
BET.com Entertainment
contemporaryartdaily.com Entertainment
deviantart.com Entertainment
examiner.com Entertainment
execdigital.com Entertainment
flavorpill.com Entertainment
flavorwire.com Entertainment
lucywho.com
Entertainment
MutualArt.com Entertainment
philadelphiaweekly.com Entertainment
popgalaxy.com Entertainment
TheCelebrityCafe.com Entertainment
thelifeofluxury.com Entertainment
theluxuryhub.com Entertainment
trendhunter.com Entertainment
twistedsifter.com Entertainment
Universalnightlife.com Entertainment
visualartsource.com Entertainment
craftster.org
Entertainment
elitechoice.org Entertainment
entertainmentwallpaper.com Entertainment
livepuntamita.com Entertainment
Proposed
24-­‐7
Network
Sample
Sites
Page
14
of
16
smosh.com Entertainment
About.com Entertainment
americansuperstarmag.com Entertainment
answerbag.com Entertainment
AWarehouseMagazine.com Entertainment
awesomenator.com Entertainment
bartendercentral.com Entertainment
buzzlol.com Entertainment
buzzsugar.com Entertainment
chacha.com Entertainment
CityTV.com Entertainment
coldarmy.com Entertainment
comics.com Entertainment
coolquiz.com Entertainment
cracked.com Entertainment
dailypuppy.com Entertainment
dilbert.com Entertainment
Dine.to Entertainment
drewreports.com Entertainment
EntertainmentWise.com Entertainment
environmentalgraffiti.com Entertainment
essortment.com Entertainment
EventFul.com Entertainment
examiner.com Entertainment
GameSpy.com Entertainment
GameStats.com Entertainment
garfield.com Entertainment
Gigwise.com Entertainment
goodmusicdaily.com Entertainment
GospelCity.com Entertainment
hollywoodunwrapped.com Entertainment
honolulupulse.com Entertainment
iminent.com Entertainment
interfacelift.com Entertainment
leasticoulddo.com Entertainment
mania.com Entertainment
metrolyrics.com Entertainment
mgid.com Entertainment
mocospace.com Entertainment
motherboard.tv Entertainment
myfreewallpapers.com Entertainment
myfuncards.com Entertainment
mylifetime.com Entertainment
myxer.com Entertainment
nadatodo.com Entertainment
nationalenquirer.com Entertainment
neatorama.com Entertainment
nowpublic.com Entertainment
omgpop.com Entertainment
Proposed
24-­‐7
Network
Sample
Sites
Page
15
of
16
outside.in Entertainment
overheardintheoffice.com Entertainment
photo.net Entertainment
Pixdaus.com Entertainment
popsugar.com Entertainment
popularscreensavers.com Entertainment
portablenorthpole.tv Entertainment
preprod.dailymotion.com Entertainment
Read-­‐Out-­‐Loud.com Entertainment
readoz.com Entertainment
Screencrave.com Entertainment
smbc-­‐comics.com Entertainment
soultrain.com Entertainment
soyouwanna.com Entertainment
Taletela.com Entertainment
tarot.com Entertainment
tattoojohnny.com Entertainment
TheCoast.Ca Entertainment
thedreamlandchronicles.com Entertainment
theduckwebcomics.com Entertainment
thefuntimesguide.com Entertainment
thehollywoodreporter.com Entertainment
themarysue.com Entertainment
uniquescreenmedia.com Entertainment
viceland.com Entertainment
weblocal.ca Entertainment
wordpress.com Entertainment
wowio.com Entertainment
accesshollywood.com Entertainment
batman-­‐on-­‐film.com
Entertainment
bouncemag.com Entertainment
celebritycrunch.com Entertainment
celebrityschoolpics.com Entertainment
celebrityviplounge.com Entertainment
Cherryontop.com Entertainment
complex.com Entertainment
deadlinehollywooddaily.com Entertainment
digitalspy.com Entertainment
eonline.com Entertainment
ew.com Entertainment
famegame.com Entertainment
fancast.com Entertainment
fridaynightlightsfan.com
Entertainment
generalhospitalhappenings.com
Entertainment
givememyremote.com Entertainment
globemagazine.com Entertainment
gossipcop.com Entertainment
gossipgirl.net Entertainment
highsnobiety.com Entertainment
Proposed
24-­‐7
Network
Sample
Sites
Page
16
of
16
hollywire.com Entertainment
hollywooddame.com Entertainment
hollywoodlife.com Entertainment
hollywoodreporter.com Entertainment
mentalfloss.com Entertainment
moejackson.com Entertainment
parade.com Entertainment
people.com Entertainment
popcrunch.com Entertainment
rick.com Entertainment
younghollywood.com Entertainment
asuitablewardrobe.dynend.com Entertainment
beautyandstyle.com Entertainment
beautynova.com
Entertainment
BlackBookMag.com Entertainment
bloginity.com Entertainment
BurdaStyle.com Entertainment
chictopia.com Entertainment
COLOURlovers.com Entertainment
dearsugar.com Entertainment
EcoSalon.com Entertainment
emohairstyle.blogspot.com Entertainment
exposay.com Entertainment
FabricMag.com Entertainment
fadeddesign.com
Entertainment
fadedtribune.com
Entertainment
fashioncopious.typepad.com Entertainment
fashionetc.com Entertainment
fashionfuss.com Entertainment
fashionism.com Entertainment
FashionWars.com Entertainment
greatestlook.com
Entertainment
hairfinder.com
Entertainment
hairmotif.com
Entertainment
hauteliving.com Entertainment
hintmag.com Entertainment
i-­‐amour.com Entertainment
ilovebling.org Entertainment
MadameNoire.com Entertainment
mademansion.com Entertainment
magxone.com Entertainment
myfdb.com Entertainment
Proposed
EXHIBIT C
Proposed
RMM Network Sample Sites
Page 1 of 2
Beauty/Fashion/Style:
www.1001-hairstyles.com www.millionlooks.com
www.alloy.com www.myitthings.com
www.allyou.com www.myjellybean.com
www.beautifulhairstyles.com www.naturallycurly.com
www.beauty.about.com www.nitrolicious.com
www.beautynet.com www.nowchic.com
www.beautyriot.com www.outblush.com
www.bellaonline.com www.peoplestylewatch.com
www.bettyconfidential.com www.piczo.com
www.bust.com www.realbeauty.com
www.coolspotters.com www.redbookmag.com
www.cosmopolitan.com www.salon52.ca
www.dailycandy.com www.savvymiss.com
www.dailymakeover.com www.seventeen.com
www.ehow.com/fashion www.shape.com
www.elledecor.com www.shoppinglifestyle.com
www.ellegirl.com www.style.about.com
www.espin.com www.teen.com
www.fadedyouthblog.com www.the-fashion-bomb.com
www.fashion.about.com www.thefashionspot.com
www.fashionindie.com www.thehairstyler.com
www.fashionmodeldirectory.com www.topbutton.com
www.girlawhirl.com www.totalbeauty.com
www.hairboutique.com www.totalhair.net
www.hairpedia.com www.weardrobe.com
www.harpersbazaar.com www.womansday.com
www.inmyownstyle.com www.womensforum.com
www.kaboodle.com
www.like.com
www.marieclaire.com
RMM is not the exclusive representative of any of these websites.
Proposed
RMM Network Sample Sites
Page 2 of 2
Business/Finance:
www.allbusiness.com www.minyanville.com
www.alternet.org www.morningstar.com
www.bankaholic.com www.nasdaq.com
www.bankrate.com www.newsmax.com
www.beyondthedow.com www.newsweek.com
www.businessdictionary.com www.nydailynews.com
www.businessinsider.com www.politico.com
www.businesspundit.com www.rasmussenreports.com
www.careerbuilder.com www.realclearmarkets.com
www.ceoexpress.com www.realclearpolitics.com
www.chicagobreakingbusiness.com www.reuters.com
www.drudgereport.com www.salary.com
www.ehow.com/business www.salon.com
www.entrepreneur.com www.sharkinvesting.com
www.fool.com www.slate.com
www.foxbusiness.com www.statcounter.com
www.foxnews.com www.stockhideout.com
www.hispanicbusiness.com www.stockhouse.com
www.hoovers.com www.thebigmoney.com
www.hotfrog.com www.time.com
www.ibtimes.com www.topix.com
www.inc.com www.usatoday.com/money
www.interest.com www.usnews.com
www.investopedia.com www.wallstreetsurvivor.com
www.investorplace.com www.washingtonpost.com
www.investors.com www.washingtontimes.com
www.investorwords.com www.worldnetdaily.com
www.kiplinger.com www.xe.com
www.latimes.com www.x-rates.com
www.lovetoknow.com/business.html www.zacks.com
www.manta.com
RMM is not the exclusive representative of any of these websites.
Proposed
EXHIBIT 2
Proposed
Kinsella Media, LLC
Relevant Case Experience
Antitrust
Big Valley Milling, Inc. v. Archer Daniels Midland Co., No. 65-C2-96-000215 (Minn. Dist. Ct. Renville
County) (lysine).
Carlson v. Abbott Laboratories, No. 94-CV-002608 (Wis. Cir. Ct. Milwaukee County) (infant
formula).
Comes v. Microsoft Corp., No. CL8231 (Iowa Dist. Ct. Polk County
Connecticut v. Mylan Laboratories, Inc., No. 99-276, MDL No. 1290 (D.D.C.) (pharmaceutical).
Conroy v. 3M Corp., No. C-00-2810 CW (N.D. Cal.) (invisible tape).
Copper Antitrust Litigation, MDL 1303 (W.D. Wis.) (physical copper).
Cox v. Microsoft Corp., No. 105193/00 (N.Y. Sup. Ct. N.Y. County) (software).
D.C. 37 Health & Security Plan v. Medi-Span, No. 07-cv-10988 (D.Mass.); New England Carpenters
Health Benefits Fund v. First DataBank, Inc., No. 1:05-CV-11148 (D. Mass.) (pharmaceutical).
Giral v. Hoffman-LaRoche Ltd., C.A. No. 98 CA 7467 (W. Va. Cir. Ct., Kanawha County) (vitamins).
In re Buspirone Antitrust Litigation, MDL No. 1413 (S.D.N.Y.) (pharmaceutical).
In re Cardizem Antitrust Litigation, 200 F.R.D. 326 (E.D. Mich.) (pharmaceutical).
In re Compact Disc Minimum Price Antitrust Litigation, MDL No. 1361 (D. Me.) (compact discs).
In re Insurance Brokerage Antitrust Litig., MDL No. 1663 Civil No. 04-5184 (FSH) (D.N.J.)
(insurance).
In re International Air Transportation Surcharge Antitrust Litigation, No. M 06-1793, MDL No. 1793
(N.D. Cal.) (airline fuel surcharges).
In re Monosodium Glutamate Antitrust Litig., D-0202-CV-0200306168, D-202-CV-200306168
(N.M. Dist. Ct., Bernalillo County) (MSG).
Proposed
In re Motorsports Merchandise Antitrust Litigation, No. 1:97-CV-2314-TWT (N.D. Ga.)
(merchandise).
In re Nasdaq Market-Makers Antitrust Litigation, MDL No. 1023 (S.D.N.Y.) (securities).
In re Pharmaceutical Industry Average Wholesale Price Litigation, No. CA:01-CV-12257, MDL No.
1456 (D. Mass.) (pharmaceutical).
In re Toys “R” Us Antitrust Litigation, No. CV-97-5750, MDL No. 1211, (E.D.N.Y.) (toys and other
products).
In re Western States Wholesale Natural Gas Antitrust Litigation, No. CV-03-1431, MDL No. 1566, (D.
Nev) (natural gas).
Kelley Supply, Inc. v. Eastman Chemical Co., No. 99CV001528 (Wis. Cir. Ct., Dane County)
(Sorbates).
Ohio vs. Bristol-Myers Squibb, Co., No. 1:02-cv-01080 (D.D.C.) (pharmaceutical).
Raz v. Archer Daniels Midland Co., Inc., No. 96-CV-009729 (Wis. Cir. Ct. Milwaukee County) (citric
acid).
Consumer and Product Liability
Azizian v. Federated Department Stores, Inc., No. 4:03 CV-03359 (N.D. Cal.) (cosmetics).
Baird v. Thomson Consumer Elecs., No. 00-L-000761 (Ill. Cir. Ct., Madison County) (television).
Bonilla v. Trebol Motors Corp., No. 92-1795 (D.P.R.) (automobiles).
Burch v. American Home Products Corp., No. 97-C-204 (1-11) (W. Va. Cir. Ct., Brooke County) (Fen
Phen).
Cosby v. Masonite Corp., No. CV-97-3408 (Ala. Cir. Ct. Mobile County) (siding product); Quin v.
Masonite Corp., No. CV-97-3313 (Ala. Cir. Ct. Mobile County) (roofing product).
Cox v. Shell Oil Co., No. 18,844 (Tenn. Ch. Ct. Obion County) (polybutylene pipe).
Daniel v. AON Corp., No. 99 CH 11893 (Ill. Cir. Ct. Cook County) (insurance).
Fettke v. McDonald’s Corp., No. 044109 (Cal. Super Ct. Marin County) (trans fatty acids).
Proposed
Florida v. Nine West Group, Inc., No. 00 CIV 1707 (S.D.N.Y.) (shoes).
Foothill/De Anza Community College Dist. v. Northwest Pipe Co., No. 00-20749-JF(N.D. Cal.) (fire
sprinklers).
Galanti v. The Goodyear Tire & Rubber Company, No. 03-209 (D.N.J.) (radiant heating) (2002).
Garza v. Sporting Goods Properties, Inc., No. SA 93-CA-1082 (W.D. Tex.) (gun ammunition).
Hoorman v. GlaxoSmithKline, No. 04-L-715 (Ill. Cir. Ct., Madison Cty.) (Paxil pharmaceutical).
In re Louisiana Pacific Corp. Inner Seal OSB Trade Practices Litigation, MDL No. 1114 (N.D. Cal.)
(oriented strand board).
In re Tri-State Crematory Litig, MDL 1467 (N.D. Ga.) (improper burial).
Lebrilla v. Farmers Group Inc., No. 00-CC-07185 (Cal. Super. Ct., Orange County) (auto insurance).
Lovelis v. Titflex, No. 04-211 (Ak. Cir. Ct., Clark County) (gas transmission pipe).
Naef v. Masonite Corp., No. CV-94-4033 (Ala. Cir. Ct. Mobile County) (hardboard siding product).
Peterson v. BASF Corp., No. C2-97-295 (D. Minn.) (herbicide).
Posey v. Dryvit Sys., Inc. No. 17,715-IV (Tenn. Cir. Ct., Jefferson County) (EIFS stucco).
Reiff v. Epson America, Inc. and Latham v. Epson Am., Inc., J.C.C.P. No. 4347 (Cal. Super. Ct., L.A.
County) (ink jet printers).
Richison v. Weyerhaeuser Company Limited, No. 05532 (Cal. Super. Ct. San Joaquin County) (roofing
product).
Ruff v. Parex, Inc., No. 96-CvS 0059 (N.C. Super. Ct. Hanover County) (synthetic stucco product).
Shah v. Re-Con Building Products, Inc., No. C99-02919 (Cal. Super. Ct. Contra Costa County)
(roofing product).
Shields vs. Bridgestone/Firestone, Inc., Bridgestone Corp., No. E-167.637 (D. Tex.) (tires).
Smith v. Behr Process Corp., No. 98-2-00635 (Wash. Super. Ct., Gray Harbor County) (stain product).
Proposed
Weiner v. Cal-Shake, Inc., J.C.C.P. No. 4208 (Cal. Super. Ct., Contra Costa County) (roofing
product).
Wholesale Elec. Antitrust Cases I & II, J.C.C.P. Nos. 4204 & 4205 (Cal. Super. Ct., San Diego County)
(energy).
Woosley v. State of California, No. CA 000499 (Cal. Super. Ct., Los Angeles County) (automobiles).
Mass Tort
Ahearn v. Fibreboard Corp., No. 6:93cv526 (E.D. Tex); Continental Casualty Co. v. Rudd, No.
6:94cv458 (E.D. Tex) (asbestos injury).
Backstrom v. The Methodist Hospital, No. H.-94-1877 (S.D. Tex.) (TMJ injury).
Engle v. RJ Reynolds Tobacco Co., No. 94-08273 (Fla. Cir. Ct. Dade County) (tobacco injury).
Georgine v. Amchem, Inc., No. 93-CV-0215 (E.D. Pa.) (asbestos injury).
Bankruptcies
In re Armstrong World Industries, Inc., No. 00-4471 (Bankr. D. Del.).
In re Dow Corning, No. 95-20512 (Bankr. E.D. Mich.) (breast implants).
In re Johns-Manville Corp., 68 B.R. 618, 626 (Bankr. S.D.N.Y.) (asbestos).
In re Kaiser Aluminum Corp., No. 02-10429 (JFK) (D. Del).
In re Owens Corning, No. 00-03837 (Bankr. D. Del.).
In re Raytech Corp., No. 5-89-00293 (Bankr. D. Conn.) (asbestos).
In re The Celotex Corp., Nos. 90-10016-8B1 and 90-10017-8B1 (Bankr. M.D. Fla.) (asbestos).
In re U.S. Brass Corp., No.94-40823S (Bankr. E.D. Tex.) (polybutylene).
In re USG Corp., Nos. 01-2094 - 01-2104 (Bankr. D. Del.).
In re W.R. Grace & Co., No. 01-01139 (Bankr. D. Del.).
Proposed
Insurance
McNeil v. American General Life and Accident Insurance Co., No. 8-99-1157 (M.D. Tenn.) (insurance).
Nealy v. Woodmen of the World Life Insurance Co., No. 3:93 CV-536 (S.D. Miss.) (insurance).
Holocaust Victims Reparations
In re Holocaust Victim Assets Litigation, Nos. CV 96-4849, CV-5161 and CV 97-461 (E.D.N.Y.)
(Holocaust).
The International Commission on Holocaust Era Insurance Claims Outreach
Pension Benefits
Collins v. Pension Benefit Guarantee Corp., No. 88-3406 (D.D.C.); Page v. Pension Benefit Guarantee
Corp., No. 89-2997 (D.D.C.).
Forbush v. J. C. Penney Co., Inc., Nos. 3:90-2719 and 3:92-0109 (N.D. Tex.).
International
Ahearn v. Fiberboard Corporation, No. 6:93cv526 (E.D. Tex) and Continental Casualty Co. v. Rudd,
No. 6:94cv458 (E.D. Tex.) (asbestos injury) (1993).
Galanti v. The Goodyear Tire & Rubber Company, No. 03-209 (D.N.J.) (radiant heating) (2002).
In re Holocaust Victims Assets Litigation, No. CV 96-4849 (ERK) (MDG) (Consolidated with CV-
5161 and CV 97461) (E.D.N.Y.) (2003).
In re Owens Corning, Chapter 11, No. 00-03837 (MFW) (Bankr. D. Del.) (2006).
In re The Celotex Corporation, Chapter 11, Nos. 90-10016-8B1 and 90-10017-8B1 (Bankr. M.D. Fla.)
(1996).
In re USG Corporation, Chapter 11, Nos. 01-2094 (RJN) through 01-2104(RJN) (Bankr. D. Del.)
(2006).
In re Western Union Money Transfer Litigation, No. 01 0335 (CPS) (VVP) (E.D.N.Y.) (wire
transactions) (2004).
In re W.R. Grace & Co., Chapter 11, No. 01-01139 (Bankr. D. Del.) (bankruptcy) (2001).
Proposed
International Committee on Holocaust Era Insurance Claims (1999).
Product Recall
Central Sprinkler Voluntary Omega Sprinkler Replacement Program
Hart v. Central Sprinkler Corp., No. BC17627 (Cal. Super. Ct. Los Angeles County) & County of
Santa Clara v. Central Sprinkler Corp., No. CV 17710119 (Cal. Super. Ct. Santa Clara County)
Telecom
Bidner, et al. v. LCI International Telecom Corp d/b/a Qwest Communications.
Community Health Association v. Lucent Technologies, Inc., No. 99-C-237, (W.Va. Cir. Ct., Kanawha
County).
Cundiff et al. v. Verizon California, Inc., No. 237806 (Cal. Super Ct., Los Angeles County).
Kushner v. AT&T Corporation, No. GIC 795315 (Cal. Super. Ct., San Diego County).
Rish Enterprise v. Verizon New Jersey, No. MID-L-8946-02 (N.J. Super. Ct.).
Sonnier, et. al. v. Radiofone, Inc., No. 44-844, (L.A. Jud. Dist. Ct., Plaqueimes Parish County).
State of Louisiana v. Sprint Communications Company L.P., No. 26,334 (Jud. Dis. Ct., Parish of West
Baton Rouge) and State of Louisiana v. WilTel, Inc., No. 26,304 (Jud. Dis. Ct., Parish of West Baton
Rouge).
Proposed
EXHIBIT 3
Proposed
Kinsella Media, LLC
Judicial Comments
In re Compact Disc Minimum Advertised Price Antitrust Litigation, MDL No. 1361 (D. Me.).
In approving the notice plan for implementation in the Compact Disc Minimum Advertised Price
Antitrust Litigation, Judge D. Brock Hornby stated, “(the plan) provided the best practicable notice
under the circumstances and complied with the requirements of both 15 U.S.C. 15c(b) (1) . . . the
notice distribution was excellently designed, reasonably calculated to reach potential class members, and
ultimately highly successful in doing so.” - Hon. D. Brock Hornby (2002/2003)
In re International Air Transportation Surcharge Antitrust Litigation, No. M 06-1793, MDL No. 1793
(N.D. Cal.).
In approving the notice plan in this litigation that involved a proposed settlement of more than $200
million for U.S. and U.K. class members, U.S. District Judge Charles Breyer repeatedly praised KNC:
“I think the notice is remarkable in this case. . . . This is brilliant. This is the best notice I've seen since
I've been on the bench. . . . Turning back to the settlement, again I want to applaud the parties for the
notice. I mean it's amazing. You know, it really is good. And I don't know where this person practices,
I don't even know that she's a lawyer. But she really did a good job on this announcement, this notice.
So thank you very much. . . . And I once again want to express my sincere appreciation of the notice. I
mean, I was just extraordinarily impressed. Extraordinarily impressed.” – Hon. Charles Breyer (2008)
Cox v. Shell Oil Co., No. 95-CV-2 (Tenn. Ch. Ct. Obion County)
In the order approving the settlement of the polybutylene pipe class action, Judge Maloan stated, “The
Court finds the notice program is excellent. As specified in the findings below, the evidence supports
the conclusion that the notice program is one of the most comprehensive class notice campaigns ever
undertaken.” (1995)
Galanti v. The Goodyear Tire & Rubber Co., No. 03-209 (D.N.J.)
“The published notice, direct notice and Internet posting constituted the best practicable notice of the
Fairness Hearing, the proposed Amended Agreement, Class Counsels’ application for fees, expenses
and costs, and other matters set forth in the Class Notice and the Summary Notice. The notice
constituted valid, due and sufficient notice to all members of the Settlement Classes, and complied fully
with the requirements of Rule 23 of the Federal Rules of Civil Procedure, the Constitution of the
United States, the laws of New Jersey and any other applicable law.” – Hon. Stanley R. Chesler (2004)
Proposed
Azizian v. Federated Department Stores, Inc., No. 3:03 CV-03359 (N.D. Cal.).
“The notice was reasonable and the best notice practicable under the circumstances; was due, adequate
and sufficient notice to all class members; and complied fully with the laws of the United States and of
the Federal Rules for Civil Procedure, due process and any other applicable rules of court.” - Hon.
Sandra Brown Armstrong (2004)
Collins v. Pension Benefit Guarantee Corp., No. 88-3406 (D.D.C.).
"The notice provided was the best notice practicable under the circumstances. Indeed, the record shows
that the notice given was consistent with the highest standards of compliance with Rule 23(e)."
(1996)
Cox v. Microsoft Corporation, No. 105193/00 (N.Y. Sup. Ct. N.Y. County).
“The court finds that the combination of individual mailing, e-mail, website and publication notice in
this action is the most effective and best notice practicable under all the circumstances, constitutes due,
adequate and reasonable notice to all Class members and otherwise satisfies the requirements of CPLR
904, 908 and other applicable rules. The Settlement meets the due process requirement for class
actions by providing Class members an opportunity either to be heard and participate in the litigation
or to remove themselves from the Class.” - Hon. Karla Moskowitz (2006)
Foothill/De Anza Community College District v. Northwest Pipe Co., No. CV-00-20749 (N.D. Cal.)
“The Court finds that the settling parties undertook a thorough and extensive notice campaign
designed by Kinsella/Novak Communications, Ltd., a nationally-recognized expert in this specialized
field. The Court finds and concludes that the Notice Program as designed and implemented provides
the best practicable notice to the Class, and satisfied requirements of due process.” - Hon. Jeremy Fogel
(2004)
Georgine v. Amchem, 158 F.R.D. 314, 326 (E.D. Pa.).
Judge Reed explained that the notice program developed by Kinsella “goes beyond that provided in
[previous cases]” and “the efforts here are more than adequate to meet the requirements of Rule
23(c)(2).” (1993)
Higgins v. Archer-Daniels Midland Co., Second Judicial District Court, County of Bernalillo C-202-
CV-200306168 (N.M. 2d Jud. Dist. Bernalillo County)
“The Court finds that the form and method of notice given to the Settlement Class, including both
mailed notice to persons and firms for whom such notice was practical and extensive notice by
publication through multiple national and specialized publications, complied with the requirements of
Proposed
Rule 1-023 NMRA 2006, satisfied the requirements of due process, was the best notice practicable
under the circumstances, and constituted due and sufficient notice of the Settlement Agreements and
their Final Approval Hearing, and other matters referred to in the Notice. The notice given to the
Settlement Class was reasonably calculated under the circumstances to inform them of the pendency of
the actions involved in this case, of all material elements of the proposed Settlements, and of their
opportunity to exclude themselves from, object to, or comment on the Settlements and to appear at the
Final Approval Hearing.” -Hon. William F. Lang (2006)
In re The Celotex Corporation, Nos. 90-10016-8B1 and 90-10017-8B1 (Bankr. M.D. Fla.).
“...all counsel should be complimented on the fact that they have gone to every possible conceivable
method of giving notice from putting it on TV and advertising it in papers..... the record should also
reflect the Court’s appreciation to Ms. Kinsella for all the work she’s done, not only in pure noticing,
but ensuring that what noticing we did was done correctly and professionally.” - Hon. Thomas E.
Baynes, Jr.
Ahearn v. Fibreboard Corp., No. 6:93 cv526 (E.D. Tex.); Continental Casualty Co. v. Rudd, No.
6:94cv458 (E.D. Tex.).
In approving the notice plan for implementation in the Ahearn and Rudd class actions in 1994, Judge
Parker stated, "I have reviewed the plan of dissemination, and I have compared them to my knowledge
at least of similar cases, the notices that Judge Weinstein has worked with [Agent Orange] and Judge
Pointer [Silicon Gel Breast Implants], and it appears to be clearly superior." - Chief Judge Robert M.
Parker (1994)
In re Western States Wholesale Natural Gas Antitrust Litigation, No. CV-03-1431, MDL No. 1566, (D.
Nev) (natural gas).
“This notice program fully complied with Federal Rule of Civil Procedure 23 and the requirements of
due process. It provided to the MDL Class the best notice practicable under the circumstances.” -
Hon. Philip M. Pro (2007)
Johns-Manville Corp. 68 B.R. 618, 626 (Bankr. S.D.N.Y. 1986), aff'd, 78 B.R. 407 (S.D.N.Y. 1987),
aff'd sub nom. Kane v. Johns-Manville Corp. 843 F.2d. 636 (2d Cir. 1988).
In approving the notification plan in the Johns-Manville Bankruptcy Reorganization, the court referred
to it as "an extensive campaign designed to provide the maximum amount of publicity ... that was
reasonable to expect of man and media." - Hon. Burton Lifland (1996/1998)
Lovelis v. Titeflex Corp., No. CIV-2004-211 (Ark. 9th Cir. Ct. Clark Co.)
Proposed
“Accordingly, the Notice as disseminated is finally approved as fair, reasonable, and adequate notice
under the circumstances. The Court finds and concludes that due and adequate notice of the pendency
of this Action, the Stipulation, and the Final Settlement Hearing has been provided to members of the
Settlement Class, and the Court further finds and concludes that the Notice campaign described in the
Preliminary Approval Order and completed by the Parties complied fully with the requirements of
Arkansas Rule of Civil Procedure 23 and the requirements of due process under the Arkansas and
United States Constitutions. The Court further finds that the Notice campaign undertaken concisely
and clearly states in plain, easily understood language:
(a.) the nature of the action;
(b.) the definition of the class certified;
(c.) the class claims, issues or defenses;
(d.) that a Class Member may enter an appearance and participate in person or through
counsel if the member so desires;
(e.) that the Court will exclude from the class any member who requests exclusion, stating
when and how members may elect to be excluded; and
(f.) the binding effect of the Final Order and Judgment on Class Members.
- Hon. John A. Thomas
Naef v. Masonite Corp., No. CV-94-4033 (Ala. Cir. Ct. Mobile County)
“In November, 1997, the Court approved a massive Notice Program to apprise class members of the
class action Settlement, including the individually mailed, notices, publication notice and notification
by way of other avenues nationally and locally. This Notice Program was designed by recognized
experts, approved by the mediator and the Court, and implemented diligently by the parties, at
defendants’ cost. It provided the best notice practicable to the Class, comports with due process, and
was clearly adequate under Alabama Rule of Civil Procedure 23(e), the United States Constitution, and
other applicable law.” - Hon. Robert G. Kendall (1997)
Exhibit 10
Proposed
EXHIBIT 10
LIST OF SUBJECT VEHICLES
Toyota
Model Model Years
4Runner 2001-2010
Avalon 2005-2010
Camry 2002-2010
CamryHV 2007-2010
Camry Solara (2AZ) 2002-2008
Camry Solara (except 2AZ) 2004-2008
Celica (2ZZ) 2003-2005
Corolla (except 2ZZ) 2005-2010
Corolla Matrix (except 1ZZ 4WD, 2ZZ) 2005-2010
FJ Cruiser 2007-2010
Highlander 2004-2010
HighlanderHV 2006-2010
Land Cruiser 1998-2010
Prius 2001-2010
RAV4 2004-2010
Sequoia 2001-2010
Sienna 2004-2010
Spyder (MR2) SMT 2001-2005
Supra (2JZ-GE) 1998
Tacoma (5VZ w/ETCS-i) 2003-2004
Tacoma 2005-2010
Tundra (except 5VZ) 2000-2010
Tundra (5VZ) 2003-2004
Venza 2009-2010
Yaris Hatchback (Puerto Rico only) 2006
Yaris 2007-2010
Lexus
Model Model Years
ES 2002-2010
GS 1998-2010
GS HV 2007-2010
GX 2003-2010
HS 2010
IS 2001-2010
LS 1998-2010
LS HV 2008-2010
LX 1998-2010
RX 2004-2010
RX HV 2006-2008, 2010
SC 1998-2000, 2002-2010
Scion
Proposed
- 2 -
Model Model Years
xB 2008-2010
xD 2008-2010
tC 2005-2010
Exhibit 11
Proposed
EXHIBIT 11
BOS-ELIGIBLE SUBJECT VEHICLES
Models for which Toyota Already Has Offered the Installation of BOS
Toyota Models Model Years
Avalon 2005-2010
Camry 2007-2010
Sequoia 2008-2010
Tacoma 2005-2010
Venza 2009-2010
Lexus Models Model Years
ES 2007-2010
IS 2006-2010
IS-F 2008-2010
New Models for which Toyota Will Offer the Installation of BOS
Toyota Models Model Years
4Runner 2003-2009
Corolla 2009-2010
Highlander 2008-2010
Land Cruiser 2008-2010
RAV4 2006-2010
Tundra 2007-2010
Lexus Models Model Years
LX 2008-2010
RX 2010
Exhibit 12
Proposed
Short Form Notice
Front:
Notice Administrator in
In re: Toyota Motor Corp. Unintended Acceleration
Marketing, Sales Practices, and Products Liability
Litigation, (C.D. Cal.)
[Address]
[City, State ZIP Code]
[Name]
[Address]
[City, State ZIP Code]
Important Legal Notice from the United States District Court for the Central District of
California
Back:
If you own(ed), purchase(d) and/or lease(d) the residual value of certain Toyota, Lexus, or Scion
vehicles equipped or installed with Electronic Throttle Control Systems distributed for sale or lease
in the United States and certain other places, you may be a class member and may be entitled to
money and other benefits from a proposed settlement.
A proposed settlement has been reached in a class action alleging that certain Toyota, Lexus, and Scion
vehicle models equipped with electronic throttle control systems (ETCS) are defective and can experience
acceleration that is unintended by the driver. Toyota denies that it has violated any law, denies that it
engaged in any and all wrongdoing, and denies that its ETCS is defective. The parties agreed to resolve
these matters before these issues were decided by the Court. The sole purpose of this notice is to
inform you of the class action and the proposed settlement so that you may decide what to do.
Records available to Toyota indicate that you may be a class member for a vehicle for which the
last four digits of the Vehicle Identification Number (VIN) is [last four digits]. If you are a
class member, your rights may be affected, even if you take no action. You may be
required to take action in order to get money and/or to protect your rights. This settlement
does not involve claims of personal injury or property damage.
If you are a class member, you may be entitled to: (1) receive a cash payment for alleged loss
upon certain disposition of a Subject Vehicle during the period from September 1, 2009 through
December 31, 2010 or upon early lease termination following an alleged unintended acceleration
event that you reported; (2) have installed a brake override system in certain Subject Vehicle at
no charge; (3) receive a cash payment if you are not eligible for a brake override system in the
Subject Vehicle; (4) participate in a Customer Support Program (as described below); and/or (5)
other settlement benefits.
Proposed
- 2 -
If you think you may be a class member, you should immediately obtain/request the Long Form
Notice for more information and, if applicable, the Claim Form(s) by: (1) going to
www.[website].com; (2) calling, toll-free, at [number]; and/or (3) writing to Notice
Administrator, [address, city, state ZIP code]. Para vereste aviso en español, visita
www.[website].com. Two key deadlines are [date] for requests to be excluded and objections
and [date] for Claim Forms to be filed. There are other deadlines, too. All deadlines are
available (and may be updated) at www. [website].com.
[Perforation for Tear-off for Customer Support Program]
PLEASE TEAR OFF THIS CUSTOMER SUPPORT PROGRAM AT THE
PERFORATION AND PLACE IT IN YOUR SUBJECT VEHICLE’S GLOVE BOX.
THIS IS AN IMPORTANT DOCUMENT THAT YOU SHOULD KEEP IN YOUR
VEHICLE WITH YOUR WARRANTY DOCUMENTS.
If the Court grants final approval of the settlement, Toyota is offering a Customer Support
Program to all Class Members who still own or lease their Subject Vehicles as of the date of final
approval by the Court. The Customer Support Program will provide prospective coverage for
repairs and adjustments needed to correct defects in materials or workmanship, if any, in any of
the following components in your Subject Vehicle following the date of final approval by the
Court: (i) engine control module; (ii) cruise control switch; (iii) accelerator pedal assembly; (iv)
stop lamp switch; and (v) throttle body assembly. The duration of prospective coverage will
begin following the date of final approval by the Court and will be calculated based on 10 years
from the expiration of the existing warranty for each of these parts, with a maximum limit of
150,000 miles from the vehicle’s in-service date, which is the first date the vehicle is either
delivered to an ultimate purchaser, leased, or used as a company car or demonstrator. Regardless
of mileage or warranty expiration, each eligible Subject Vehicle will receive no less than 3 years
of coverage from the date of final approval by the Court. This Customer Support Program will
not cover the cost for past repairs.
If you currently own a Toyota, Lexus or Scion vehicle, you must consult www.[website].com to
determine how this settlement may affect you including whether you may have additional claims.
Exhibit 13
Proposed
Short Form Notice to DV-Only Class Members
Front:
Notice Administrator in
In re: Toyota Motor Corp. Unintended Acceleration
Marketing, Sales Practices, and Products Liability
Litigation, (C.D. Cal.)
[Address]
[City, State ZIP Code]
[Name]
[Address]
[City, State ZIP Code]
Important Legal Notice from the United States District Court for the Central District of
California
Back:
If you previously owned and/or leased certain Toyota, Lexus, or Scion vehicles equipped or
installed with Electronic Throttle Control Systems in the United States and certain other places,
you may be a class member and may be entitled to MONEY from
a proposed settlement.
A proposed settlement has been reached in a class action alleging that certain Toyota, Lexus, and
Scion vehicle models equipped with electronic throttle control systems (ETCS) are defective and
can experience acceleration that is unintended by the driver. Toyota denies that it has violated
any law, denies that it engaged in any and all wrongdoing and denies that its ETCS is defective.
The parties agreed to resolve these matters before these issues were decided by the Court. The
sole purpose of this notice is to inform you of the class action and the proposed settlement
so that you may decide what to do.
Records available to Toyota indicate that you may be a class member for a vehicle for which the
last four digits of the Vehicle Identification Number (VIN) is [last four digits]. If you are a
class member, your rights may be affected, even if you take no action. You may be
required to take action in order to get money and/or to protect your rights. This settlement
does not involve claims of personal injury or property damage.
If you are a class member, you may be entitled to receive a cash payment for alleged loss upon
sale, trade-in, early lease termination, or total loss during the time period between September 1,
2009 and December 31, 2010 or upon early lease termination following an unintended
acceleration that you reported. Payments may range from a minimum of $____ to up to $____
depending on the year and model and subject to the number of claims made.
If you think you may be eligible for a cash payment, you should immediately obtain/request the
Long Form Notice for more information and, if applicable, the Claim Form(s) by: (1) going to
Proposed
- 2 -
www.[website].com; (2) calling, toll-free, at [number]; and/or (3) writing to Notice
Administrator, [address, city, state ZIP code]. Para vereste aviso en español, visita
www.[website].com. Two key deadlines are [date] for requests to be excluded and objections
and [date] for Claim Forms to be filed. There are other deadlines, too. All deadlines are
available (and may be updated) at www.[website].com.
If you currently own a Toyota, Lexus or Scion vehicle, you must consult www.[website].com to
determine how this settlement may affect you including whether you may have additional claims.
Exhibit 14
Proposed
CLAIMS REVIEW PROTOCOL
Pursuant to the Preliminary Approval Order, the Plan of Allocation and the Agreement,
each Claim Form from a participating Claimant that has been timely submitted pursuant to the
Settlement Agreement and subsequent Court Orders will be reviewed according to the Settlement
Claims Review Protocol below, subject to the limitations and qualifications stated below (all
capitalized terms as defined in the Agreement).
I. Claim Review Procedures
A. All information provided in the Claim Forms and supporting documentation
submitted by the participating Claimant shall be entered into a database. Each Claim shall be
marked as either Category 1 (Cash Payment from the Alleged Diminished Value Fund) or
Category 2 (Cash Payment in Lieu of BOS). Subject to the limitations and qualifications stated
below, the Class Action Settlement Administrator shall review all claims to insure that all
information and documentation required for an eligible claim is presented on or with the Claim
Forms. If there is missing information or documentation, the Class Action Settlement
Administrator shall notify the Claimant and request correct and complete information and/or
documentation.
B. The Class Action Settlement Administrator shall use its best efforts to use an
optical scanning process to process the Claim Forms submitted by the website and by U.S. Mail,
including, but not limited to, any supporting documentation.
C. Subject to the terms of the Agreement and this Claim Review Protocol, the Class
Action Settlement Administrator shall gather, review, prepare, and address the Claim Forms
received pursuant to the Claim Process. If a Class Member submitting a Claim has not
sufficiently completed the Claim Forms, the Class Action Settlement Administrator shall mail a
letter to the Class Member informing him/her/it that the Claim Form was deficient and
identifying the missing information.
D. The Class Member shall have thirty-five (35) days from the date of the
postmarked letter to cure the deficiency(ies) identified by the Class Action Settlement
Administrator. If a Class Member fails to cure the deficiency(ies) such that any required
materials and/or missing information is/are received by the Class Action Settlement
Administrator within said thirty-five (35) days, the Claim shall be deemed invalid and not paid.
E. The Class Action Settlement Administrator may request from Class Members
submitting Claim Forms documents to substantiate and/or verify the information contained in the
Claim Forms, and the Claim may be reduced or denied. The Class Member shall have thirty-five
(35) days from the date of the postmarked letter to provide the substantiation and/or verification
identified by the Class Action Settlement Administrator. If a Class Member fails to provide the
Proposed
substantiation and/or verification within said thirty-five (35) days, the Claim shall be deemed
invalid and not paid.
F. The Class Action Settlement Administrator shall exercise, in its discretion, all
usual and customary steps to prevent fraud and abuse and take any reasonable steps to prevent
fraud and abuse in the Claim Process. The Class Action Settlement Administrator may, in its
discretion, deny in whole or in part any Claim to prevent actual or possible fraud and abuse.
G. Upon the agreement of the Parties, the Class Action Settlement Administrator will
request confirmation of prior reporting of an unintended acceleration event to determine whether
to make an award.
H. This Claim Review Protocol can be amended by written agreement of the Parties.
II. Review of Category 1 Claims (Cash Payment from the Alleged Diminished Value
Fund)
Subject to the limitations and qualifications stated herein, the Class Action Settlement
Administrator shall review all Category 1 claims to insure that the Claimants demonstrate in their
Claim Forms and supporting documentation that they:
 (a) sold or traded in an owned Subject Vehicle during the period from September 1, 2009
to December 31, 2010, inclusive; or
 (b) returned a leased Subject Vehicle before the lease termination date during the period
from September 1, 2009 to December 31, 2010, inclusive; or
 (c) insured and/or guaranteed the residual value of a Subject Vehicle as of September 1,
2009, and with respect to such Subject Vehicle, thereafter either made payment to an
insured, or sold the Subject Vehicle, provided such payment or sale was made by a
Residual Value Insurer on or before December 31, 2010; or
 (d) returned a leased Subject Vehicle before the lease termination date, after having
reported an alleged unintended acceleration event(s) (as defined in the Claim Form
attached to the Settlement Agreement) to Toyota, a Toyota Dealer or the National
Highway Traffic Safety Administration (“NHTSA”) before December 1, 2012; or
 (e) owned a Subject Vehicle that was declared a total loss by an insurer during the period
from September 1, 2009 to December 31, 2010, inclusive.
If the Class Action Settlement Administrator’s review establishes that a claim clearly
demonstrates (a), (b), (c), (d) or (e) above, the Class Action Settlement Administrator shall
Proposed
approve that claim and process it in accordance with the Plan of Allocation; provided, however,
that no Class Member may submit more than one Claim (of any kind) per Subject Vehicle.
III. Review of Category 2 Claims (Cash Payment in Lieu of BOS)
Subject to the limitations and qualifications stated herein, the Class Action Settlement
Administrator shall review all Category 2 claims to insure that the Claimants who own or lease a
Subject Vehicle as of the date the Preliminary Approval Order is entered and shall demonstrate
in their Claim Forms for this category of claims unless:
 (a) the Claimant’s Subject Vehicle is a hybrid vehicle;
 (b) the Claimant’s Subject Vehicle has already actually received BOS; and/or
 (c) the Claimant’s Subject Vehicle is eligible to receive BOS.
If the Class Action Settlement Administrator’s review establishes that a Claim clearly
satisfies these standards above, the Class Action Settlement Administrator shall approve that
Claim and process it in accordance with the Plan of Allocation; provided, however, that no Class
Member may submit more than one Claim (of any kind) per Subject Vehicle.
IV. Notification of Individual Class Member Awards
Upon the completion of the Claim Process, Class Members shall be able to go to the
Settlement website or may write to the Class Action Settlement Administrator who shall provide
information to the Class Members of their individual awards by including secure information on
the website or otherwise respond to their request.
V. Escheat
The Class Action Settlement Administrator shall fulfill any escheatment obligations that
arise.
Exhibit 15
Proposed
AUTOMOBILE SAFETY AND EDUCATION PROGRAM
Overview
As provided in Section II (A)(6) of the Settlement Agreement dated December __, 2012, Toyota has
agreed to fund scientific research by leading U.S. universities into the development of new active
safety technologies and/or standards, as well as testing guidelines for emerging technologies (all
capitalized terms as defined in the Settlement Agreement). In addition, Toyota has agreed to fund a
national multi‐media and community‐based public‐education campaign, supported by scientific
research, that works to inform, enhance and promote safer driving among consumers. The parties
agree that these safety research and education programs are tethered to the nature of, and certain
issues in, the Actions and further the interests of Class Members.
Under the Settlement, Toyota has agreed to pay $30 million for this Safety Research and Education
Program following the Final Effective Date of the Settlement. Pursuant to the Settlement
Agreement, additional funds may be made available depending on whether or not there are
remainders in the two cash funds specified in Sections II (A)(2)(c) and II (A)(4)(c) of the Settlement
Agreement. This Exhibit explains how the $30 million fund will be used to benefit Class Members
nationwide and further explains the manner in which decisions will be made concerning the use of
any remainders from the cash funds described in Sections II(A)(2) and II (A)(4) of the Settlement
Agreement.
Toyota’s $30 Million Commitment under Section II (A)(6)
A. Deposit into Escrow Fund
Within 30 days of the Final Effective Date, Toyota will deposit into the Escrow Account the sum of
$30 million, which will be distributed as described and pursuant to the instructions specified
below. Toyota’s payment of this amount into escrow fulfills the entirety of Toyota’s financial
commitment under this program. Without limiting the foregoing, all of the components identified
below, including but not limited to any costs to administer the fund or the programs under the fund,
are to be paid from this Escrow Account.
B. Research Focused on Consumer Knowledge and Use of Defensive Driving Techniques
1. The program will start with a new national consumer study, to be undertaken by a
leading U.S. university, focused on driver attitudes, behaviors and levels of understanding
concerning defensive driving techniques and the proper use of new automotive technology. It is
currently expected that the study will be conducted by the University of Iowa (Public Policy
Center), but prior to the Final Approval order, the parties may select another leading university to
conduct the study.
o The study will focus on identifying critical gaps in awareness and practice regarding
defensive driving skills, as well as on pinpointing the messages and techniques most
effective in encouraging safer driver behavior and improving awareness and use of active
safety technologies.
o Specific driver behaviors to be studied will include but not be limited to techniques for
controlling and stopping vehicles in emergency situations; driver distraction; issues relating
to driver pedal misapplication; and proper use by drivers of anti‐lock brakes and other
Proposed
advanced technologies made possible by electronic throttle control systems, such as brake
override systems, vehicle stability control and radar cruise control.
o The study will assist the parties in developing the content of the National Driver Safety
Education Campaign described below.
o The study will be an academically rigorous field study intended to inform the National
Driver Safety Education campaign described below; inform ongoing and future research by
other institutions, safety agencies and industry; and support other national and communitybased
driver safety education campaigns.
o The selected university may choose to retain a survey firm to help to develop and
implement the field portions of the study.
o Approximately $800,000 will be budgeted to fund the study (which includes any expense
for the survey firm to help develop and implement the field portions of the study).
2. Plaintiffs’ Class Counsel and Toyota’s Negotiating Counsel will meet and confer to
determine the instructions for distribution from the Escrow Account to pay for this component of
the program. If Plaintiffs’ Class Counsel and Toyota’s Negotiating Counsel cannot reach a written
agreement on these issues through their meet‐and‐confer process, any disagreements shall be
resolved by the Settlement Special Master, whose written decision shall be final and binding.
C. National Driver Safety Education Campaign
1. The following National Driver Safety Education campaign will be undertaken by a
leading U.S. university or national safety organization. It is currently expected that the campaign
will be undertaken by the University of Iowa (Public Policy Center), but the parties may select
another leading university or national safety organization prior to the Final Approval order. The
campaign will follow the research described above and will be guided by its results. The campaign
will include a combination of print, TV, digital and radio advertising to deliver the content of the
program.
o The goal for reach/frequency for the program will be 90/12 (i.e., 90% of adults in key target
markets would see the company’s message 12 times over the length of the campaign). This
is based on an audience target of age 18 or older.
o The specific mix of media, as well as particular frequency and reach metrics, will be subject
to discussion among Plaintiffs’ Class Counsel, Toyota’ Negotiating Counsel and the selected
education organization partner, based in part on prevailing advertising rates at the time the
program is launched.
o The budget would cover all costs of the campaign, including but not limited to the cost of
producing the advertisements and buying the media space .
o The selected education organization will develop and suggest a plan, describing in detail the
content, components and implementation of the campaign, subject to review by Plaintiffs’
Class Counsel and Toyota’s Negotiating Counsel. Any disagreements would be resolved
through meet and confer among Plaintiffs’ Class Counsel, Toyota’s Negotiating Counsel and
the selected education organization. If the parties cannot resolve any disputes through the
Proposed
meet‐and‐confer process, any disagreements shall be resolved by the Settlement Special
Master, whose written decision will be final and binding.
o The campaign may utilize consumer research data to inform messaging designed to change
public attitudes and improve driving behaviors.
o The campaign would be supported by digital assets ‐‐ such as a website providing insights
about common driving errors taken from the survey and tools/videos/tests/classroom
materials to help educators instruct drivers about what to do in an emergency ‐‐ as well as
social media.
o Safety experts from Toyota’s Collaborative Safety Research Center may be engaged to help
educate consumers about defensive driving techniques and active safety technologies as
part of this campaign, but shall not be paid from the fund to do so.
o The budget for this campaign will not exceed $14.2 million; funds would come from the
Escrow Account, and counsel would meet and confer to agree upon payment instructions in
writing, with the Settlement Special Master resolving, in writing, any disagreements
regarding funding.
D. Safety Research
1. The third component of the program will fund university‐based public research to
develop advances in active safety features, vehicle control and driver attention.
o Leading U.S. universities will conduct research for the public benefit with a multi‐year
mandate to pursue research programs into existing, new or emerging active safety
technologies, based around national and regulatory safety priorities, as well as to develop a
better understanding of key safety‐related behaviors, with findings to be shared broadly
across the automotive industry.
o Each of the following universities has expressed interest in conducting this research under
this program: Stanford University (CARS), University of Michigan (UMTRI), Texas A&M
University (TTI), MIT (Age Lab) and the University of Iowa (Public Policy Center).
o The parties will choose some or all of these institutions to conduct the research and may
add or substitute one or more similar universities prior to the Final Approval Order. Based
on further discussion with the potential grant recipients, funding will occur either by direct
grants to the institutions or by establishing a research consortium of multiple universities,
with one university chosen to administer the research and meet the mandate defined by the
program.
o Research topics for the research initiatives will benefit Class Members nationwide and will
include, but not be limited to, general approaches to crash avoidance, human interface
design, and lane departure warning/prevention and driver distraction.
o The budget for this research program will not exceed $15 million.
Proposed
o The parties may choose an administrator to oversee the administration of the grants under
this program. Any costs and fees of the administrator will come from the fund established
through the Settlement.
2. Plaintiffs’ Class Counsel and Toyota’s Negotiating Counsel will meet and confer to
identify the grantee universities, determine the amounts from escrow that will be granted to these
institutions, the specific research programs (that must be for the purposes stated above), and the
instructions for distribution from the Escrow Account for this component of the program. If
Plaintiffs’ Class Counsel and Toyota’s Negotiating Counsel cannot reach agreement in writing on
these issues through their meet‐and‐confer process, any disagreements shall be resolved by the
Settlement Special Master, whose written decision shall be final and binding.
Use of any Remainder from Settlement Cash Funds
A. Following expiration of the Claims Period, there may be additional funds that can be used
for research and education pursuant to the calculations set forth in Sections II (A)(2)(c) and II
(A)(4)(c) of the Settlement Agreement. Whether there will be any remaining funds and the amount
of any remaining funds will not be known until after the expiration of the claims period and after
the calculations have been made.
B. Once the calculations of any such remainder in the cash funds have been made pursuant to
Sections II (A)(2)(c) and II (A)(4)(c) have been made, Plaintiffs’ Class Counsel and Toyota’s
Negotiating Counsel will meet and confer to determine, in writing, the specifics regarding the
optimal use of any such remainder. Although the specifics will be resolved through the meet‐andconfer
process, the parties agree that any such remainder will be used to: (1) fund scientific
research by leading academic institutions into the development of new active safety technologies
and/or standards and testing guidelines for emerging technologies and/or driving behaviors;
and/or (2) fund an expansion or addition to the national multi‐media and community‐based publiceducation
campaign that works to inform, enhance and promote safer driving among consumers.
Any disagreements between the parties in this regard will be resolved by the Settlement Special
Master, whose written decision will be final and binding. The same process will be used for any
budgeted amounts under this program that are not actually spent in connection with the three
components of the program.
Exhibit 16
Proposed
PLAN OF ALLOCATION FOR ALLEGED DIMINISHED VALUE FUND
The law in various jurisdictions differs on the issue of whether, in order to bring
claims, a Class Member’s Subject Vehicle must have manifested an unintended
acceleration (“UA”) event as defined in the Claim Forms (all terms as defined in the
Agreement, with the exception of the terms “Non-Manifestation States,” “Manifestation
States,” and “Unclear States”). Allocation Counsel was appointed to represent the
interests of Class Members in Manifestation States, Non-Manifestation States, and states
where the law is unclear, respectively. The determination of Non-Manifestation States,
Manifestation States, and Unclear States has been done solely by Plaintiffs’ Class
Counsel. The states are classified for the purposes of this allocation as provided below.
The following lawyers were appointed as Allocation Counsel: Michael Kelly was
appointed for Non-Manifestation States, Jayne Conroy for Manifestation States, and Ben
Bailey for Unclear States. The allocation set forth below resulted from an allocation
mediation supervised by Settlement Special Master Patrick Juneau.
As a part of the Settlement, Toyota has agreed to pay the sum of $250,000,000
into the Alleged Diminished Value Fund in accordance with the terms of the Agreement.
Plaintiffs’ Class Counsel retained experts who carefully studied and modeled the alleged
impact of adverse publicity concerning Toyota Subject Vehicles. These experts believe
that the value of Toyota vehicles declined during the period September 1, 2009 to
December 31, 2010 as a result of the above-referenced adverse publicity. These experts
believe that the value of vehicles bought and sold, or leased and turned in at the end of
the lease period, were not damaged if they were turned in outside that period.
Proposed
2
Subject to any pro rata reduction as described in the Agreement, the allocation
shall be as follows:
If an eligible class member purchased,
leased, now resides or insured the residual
value of a vehicle in a Non-Manifestation
State:
100 percent of the amounts on the attached
consumer matrix
If an eligible class member purchased,
leased, now resides or insured the residual
value of a vehicle registered in a
Manifestation State:
30 percent of the amounts on the attached
consumer matrix
If an eligible class member purchased,
leased, now resides or insured the residual
value of a vehicle registered in an Unclear
State:
70 percent of the amounts on the attached
consumer matrix
Class Members in Manifestation States and Unclear States will be entitled to the
same payment as Class Members in a Non-Manifestation State if such Class Members, on
or before December 1, 2012, reported to Toyota, a Toyota Dealer, or National Highway
Transportation Safety Administration (“NHTSA”) that they believed that one or more of
the following symptoms occurred in their Subject Vehicle: an unintended accelerationrelated
symptom as to which Toyota inspected the Subject Vehicle and was unable to
identify the cause of the symptom; the possible loss of brake vacuum assist; an
accelerator pedal that may be slow to return or stick in a partially depressed position;
interference with the vehicle’s accelerator pedal with an incompatible or unsecured floor
mat; increasing acceleration of the vehicle despite depressing only the brake pedal;
acceleration (or failure to decelerate) when both the brake and accelerator pedals were
depressed; rough or otherwise undesirable transmission shift sensation; the brakes did not
respond as expected; unfamiliarity with the push-button on/off button; unexpected
Proposed
3
operation of the cruise control system; one or more drivability concerns (e.g., hesitation,
surging, lurching, etc.); or high engine RPM at idle.
If unclaimed funds remain after the Claim Period has expired and the unclaimed
funds are sufficient to bring all eligible Manifestation States and Unclear States claimants
up to 100% of eligible payment, the unclaimed funds shall be applied for those purposes.
Any remaining unclaimed funds shall be distributed pursuant to Section II(A)(2)(c) of the
Settlement Agreement.
If unclaimed funds remain after the Claim Period has expired and the amount of
unclaimed funds is insufficient to bring all eligible Manifestation States and Unclear
States claimants up to 100% of eligible payment, the remainder will be split 50% to
Manifestation States claimants and 50% Unclear States claimants. In the event that
either group of claimants is brought up to 100%, the balance of unclaimed funds will be
applied to the other group of claimants.
Non-Manifestation States:
Alaska, Arizona, California, Connecticut, Hawaii, Idaho, Illinois, Iowa, Kansas,
Kentucky, Louisiana, Maine, Maryland, Massachusetts, Michigan, Minnesota, Missouri,
Montana, Nebraska, Nevada, New Jersey, New Mexico, New York (only if Subject
Vehicle was sold during the period September 1, 2009 through December 31, 2010),
Ohio, Oklahoma, Oregon, Pennsylvania, Rhode Island, South Dakota, Tennessee, Texas,
Vermont, Washington, and West Virginia.
Proposed
4
Manifestation States:
Arkansas, District of Columbia, Indiana, Mississippi, New Hampshire, North
Carolina, North Dakota, South Carolina, Utah, and Wisconsin.
Unclear States:
Alabama, Colorado, Delaware, Florida, Georgia, New York (if Subject Vehicle
not sold during the period September 1, 2009 through December 31, 2010), Virginia, and
Wyoming.
Proposed
5
PLAN OF ALLOCATION FOR CASH PAYMENT IN LIEU OF BOS
The law in various jurisdictions differs on the issue of whether, in order to bring
claims, a Class Member’s Subject Vehicle must have manifested a UA event. Allocation
Counsel was appointed to represent the interests of Class Members in Manifestation,
Non-Manifestation States, and states where the law is unclear, respectively. The
determination of Non-Manifestation States, Manifestation States, and Unclear States has
been done solely by Plaintiffs’ Class Counsel. The states are classified for the purposes
of this allocation as provided below. The following lawyers were appointed as
Allocation Counsel: Michael Kelly was appointed for Non-Manifestation States, Jayne
Conroy for Manifestation States, and Ben Bailey for Unclear States. The allocation set
forth below resulted from an allocation mediation supervised by Settlement Special
Master Patrick Juneau.
As part of the Settlement, Toyota has agreed to pay the sum of $250,000,000 for
eligible Class Members who own or lease a Subject Vehicle as of the date the
Preliminary Approval Ordered is entered, if they comply with the Claims requirements of
the Settlement, unless: (a) their Subject Vehicle is not a hybrid vehicle; (b) they already
actually received BOS on their Subject Vehicle; or (c) they are eligible to receive BOS on
their Subject Vehicle. The maximum per vehicle claim that can be made on this fund is
$125 (“BOS fund maximum payment”), which is Plaintiffs’ Class Counsel’s or their
experts’ estimated value for BOS. Class Members in Non-Manifestation States,
Manifestation States, and Unclear States will be entitled to the same respective
percentages of the maximum as found in the Plan of Allocation for the Alleged
Proposed
6
Diminished Value Fund. So, for example, if the BOS fund maximum payment to a Class
Member in a Non-Manifestation State would be $125, a Class Member in a Unclear State
would receive $87.50 (70% of $125), and a Class Member in an Manifestation State
would receive $37.50 (30% of $125).
Subject to any pro rata reduction as provided in the Agreement, the allocation shall
be as follows:
If an eligible class member purchased,
leased or now resides in a Non-
Manifestation State:
100 percent of the BOS fund maximum
payment
If an eligible class member purchased,
leased or now resides in a Manifestation
State:
30 percent of the BOS fund maximum
payment
If an eligible class member purchased,
leased or now resides in an Unclear State
70 percent of the BOS fund maximum
payment
Class Members in Manifestation States and Unclear States will be entitled to the
same payment as Class Members in a Non-Manifestation State if such Class Members, on
or before December 1, 2012, reported to Toyota, a Toyota Dealer, or NHTSA that they
believed that one or more of the following symptoms occurred in their Subject Vehicle:
an unintended acceleration-related symptom as to which Toyota inspected the Subject
Vehicle and was unable to identify the cause of the symptom; the possible loss of brake
vacuum assist; an accelerator pedal that may be slow to return or stick in a partially
depressed position; interference with the vehicle’s accelerator pedal with an incompatible
or unsecured floor mat; increasing acceleration of the vehicle despite depressing only the
brake pedal; acceleration (or failure to decelerate) when both the brake and accelerator
pedals were depressed; rough or otherwise undesirable transmission shift sensation; the
Proposed
7
brakes did not respond as expected; unfamiliarity with the push-button on/off button;
unexpected operation of the cruise control system; one or more drivability concerns (e.g.,
hesitation, surging, lurching, etc.); or high engine RPM at idle.
If unclaimed funds remain after the claims period has expired and the unclaimed
funds are sufficient to bring all eligible Manifestation States and Unclear States claimants
up to 100% of eligible payment, the unclaimed funds shall be applied for those purposes.
Any remaining unclaimed funds shall be distributed pursuant to Section II(A)(2)(c) of the
Settlement Agreement.
If unclaimed funds remain after the claims period has expired and the amount of
unclaimed funds is insufficient to bring all eligible Manifestation States and Unclear
States claimants up to 100% of eligible payment, the remainder will be split 50% to
Manifestation States claimants and 50% Unclear States claimants. In the event that
either group of claimants is brought up to 100%, the balance of unclaimed funds will be
applied to the other group of claimants.
Non-Manifestation States:
Alaska, Arizona, California, Connecticut, Hawaii, Idaho, Illinois, Iowa, Kansas,
Kentucky, Louisiana, Maine, Maryland, Massachusetts, Michigan, Minnesota, Missouri,
Montana, Nebraska, Nevada, New Jersey, New Mexico, New York, Ohio, Oklahoma,
Oregon, Pennsylvania, Rhode Island, South Dakota, Tennessee, Texas, Vermont,
Washington, and West Virginia.
Manifestion States:
Proposed
8
Arkansas, District of Columbia, Indiana, Mississippi, New Hampshire, North
Carolina, North Dakota, South Carolina, Utah, and Wisconsin.
Unclear States:
Alabama, Colorado, Delaware, Florida, Georgia, New York, Virginia, and
Wyoming.

See: http://www.toyotaelsettlement.com

Outcome: The parties have reached a tentative settlement in this case. On December 26, 2012, the plaintiffs filed a motion with the Court requesting preliminary approval of the proposed settlement terms. The Court has yet to render a decision. There are no further details available at this time.

Please do not contact Toyota, Lexus or Scion or Toyota, Lexus, or Scion dealers for information about the settlement at this time.

Estimated amount of settlement is $1 billion.

Plaintiff's Experts:

Defendant's Experts:

Comments: Appearances by other attorneys for parties to this litigation:

Douglas G Aaron Dion Rosenau Smith Menszak and Aaron 1628 John F Kennedy Boulevard Suite 900 Philadelphia, PA 19103 215-561-7000 215-561-7000 (fax) daaron@dionrosenau.com Assigned: 01/11/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing State Farm Mutual Automobile Insurance Company (Plaintiff) State Farm Mutual Automobile Insurance Company (Plaintiff)

Douglas B Abrams Abrams & Abrams PA 2021 Fairview Road Raleigh, NC 27608 919-755-9166 919-755-9396 (fax) dabrams@abramslawfirm.com Assigned: 06/30/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Joseph R Graybeal (Plaintiff) Patricia B Graybeal (Plaintiff)

Jill S Abrams Abbey Spanier Rodd and Abrams LLP 212 East 39th Street New York, NY 10016 212-889-3700 212-684-5191 (fax) jabrams@abbeyspanier.com Assigned: 04/15/2010 TERMINATED: 07/13/2012 representing Jessica M. Kramer TERMINATED: 05/04/2010 (Plaintiff) Barbara Iglesias (Plaintiff)

Margaret S Abrams Abrams & Abrams PA 2021 Fairview Road Raleigh, NC 27608 919-755-9166 919-755-9396 (fax) mabrams@abramslawfirm.com Assigned: 06/30/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Joseph R Graybeal (Plaintiff) Patricia B Graybeal (Plaintiff)

Noah B Abrams Abrams & Abrams PA 2021 Fairview Road Raleigh, NC 27608 919-755-9166 919-755-9396 (fax) nabrams@abramslawfirm.com Assigned: 06/30/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Joseph R Graybeal (Plaintiff) Patricia B Graybeal (Plaintiff)

Craig J Ackermann Ackermann & Tilajef PC 1180 South Beverly Drive Suite 610 Los Angeles, CA 90035 310-277-0614 310-277-0635 (fax) cja@ackermanntilajef.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Elaine Byrnes (Plaintiff)

Lindsey Adams Bowman and Brooke LLP 1741 Technology Drive Suite 200 San Jose, CA 95110-1355 408-279-5393 408-279-5845 (fax) lindsey.adams@bowmanandbrooke.com Assigned: 04/20/2012 representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant)

Robert T Adams Shook, Hardy & Bacon LLP - KC/Grand 2555 Grand Boulevard Kansas City, MO 64108-2316 816-474-6550 816-421-4066 (fax) Assigned: 05/07/2010 TERMINATED: 05/14/2010 representing Toyota Motor Sales U.S.A., Inc. (Defendant)

Terry G. Adams The Adams Law Firm 101 Sherlake Lane Suite 101 Knoxville, TN 37922 tadams@terryadamslaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Jonathan Scillian (Plaintiff) Lesley Scillian (Plaintiff) Joyce Ann Atnip (Plaintiff)

Jessica M. Agnelly Langdon & Emison 911 Main Street P.O. Box 220 Lexington, MO 64067 660-259-6175 jagnelly@langdonemison.com Assigned: 03/01/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing Jasmine Keller (Plaintiff)

Whitney M Agopian HIRST & APPLEGATE P O Box 1083 Cheyenne, WY 82003-1083 307/632-0541 307/632-4999 (fax) wagopian@hirstapplegate.com Assigned: 05/07/2010 TERMINATED: 06/29/2010 representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant)

Bridget M Ahmann Faegre Baker Daniels LLP 90 South 7th Street Suite 2200 Minneapolis, MN 55402-3901 612-766-7000 612-766-1600 (fax) bridget.ahmann@faegrebd.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant)

Darren O'Leary Aitken Aitken Aitken & Cohn 3 MacArthur Place Suite 800 Santa Ana, CA 92707-2555 714-434-1424 714-434-3600 (fax) darren@aitkenlaw.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Green Spot Motors Co (Plaintiff) Daniel Boudreault (Plaintiff) Daniel Hamilton (Plaintiff)

Wylie A Aitken Aitken Aitken and Cohn S MacArthur Place Suite 800 P O Box 2555 Santa Ana, CA 92707 714-434-1424 714-434-3600 (fax) wylie@aitkenlaw.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Green Spot Motors Co (Plaintiff) Daniel Boudreault (Plaintiff) Daniel Hamilton (Plaintiff) Deluxe Holdings, Inc. (Plaintiff)

Vahn Alexander 17232 Palisades Circle Pacific Palisades, CA 90272 vahnalexander.va@gmail.com Assigned: 04/16/2010 TERMINATED: 06/05/2012 representing Alexsandra Del Real TERMINATED: 05/04/2010 (Plaintiff)

Paula J. Allan Eckert, Seamans, Cherin & Mellott 600 Grant Street 44th Floor Pittsburgh, PA 15219 (412) 566-6000 Assigned: 06/04/2010 representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant)

Andres F Alonso Parker Waichman Alonso LLP 111 Great Neck Road 1st Floor Great Neck, NY 11021-5402 516-466-6500 Assigned: 04/12/2010 ATTORNEY TO BE NOTICED representing Humberto Rivas-Vigil (Plaintiff) Amanda R Maillho (Plaintiff) Margaret Gonzales (Plaintiff) Peter Phaneuf (Plaintiff)

Paul Alvarez Kearney Alvarez LLP 633 West Fifth Street Suite 2800 Los Angeles, CA 90071 213-473-1900 213-473-1919 (fax) Assigned: 04/26/2010 ATTORNEY TO BE NOTICED representing Deluxe Holdings, Inc. (Plaintiff) SPP Inc (Plaintiff) Michael Jermakian (Plaintiff)

Walter J Alvarez Law Office of Walter J Alvarez PC 1524 W 96th Ave Crown Point, IN 46307 219-662-6400 219-662-6410 (fax) Assigned: 12/16/2010 ATTORNEY TO BE NOTICED representing Stefanie Cece (Plaintiff) Rose M Augustine (Plaintiff)

Judith Anna Amorosa Alston & Bird LLP 90 Park Avenue New York, NY 10016 212-210-9400 Assigned: 06/09/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant)

Jared B Anderson Leslie Mark Stovall 3216 W. Charleston Blvd. Las Vegas, NV 89102 702-258-3034 702-258-0093 (fax) jared@lesstovall.com Assigned: 02/02/2012 ATTORNEY TO BE NOTICED representing Allison Branch (Plaintiff) Austin Branch (Plaintiff) Yvonne Branch (Plaintiff)

Robert B. Anderson May, Adam, Gerdes & Thompson PO Box 160 Pierre, SD 57501 224-8803 224-6289 (fax) rba@magt.com Assigned: 01/17/2012 ATTORNEY TO BE NOTICED representing Toyota Material Handling, U.S.A., Inc. (Defendant) Toyota Motor Credit Corp (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Insurance Services, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant)

Jonathan B Andry Andry & Andry 710 Carondelet Street New Orleans, LA 70130 504-586-0288 jandry@andrylawgroup.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Elwanda Fontenot (Plaintiff)

Peter J. Antosh Garcia & Antosh, LLP 1401 Central Ave. Dodge City, KS 67801 620-225-7400 620-225-4339 (fax) pja22@yahoo.com Assigned: 06/16/2011 ATTORNEY TO BE NOTICED representing Dora Argueta (Plaintiff) Leopoldo Portillo (Plaintiff) Mirna Argueta (Plaintiff)

Kimberly A Aponte Sheller PC 1528 Walnut Street 4th Floor Philadelphia, PA 19102 215-790-7378 215-546-0942 (fax) kaponte@sheller.com Assigned: 11/28/2011 ATTORNEY TO BE NOTICED representing SYBIL REICHECK (Plaintiff) MORTON REICHEK TERMINATED: 12/12/2012 (Plaintiff) Amy S Reichek (Plaintiff)

David M Arbogast Arbogast Bowen LLP 11400 W Olympic Blvd 2nd Floor Los Angeles, CA 90064 310-477-7200 310-943-2309 (fax) david@arbogastbowen.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Dale Baldisseri (Plaintiff) Dru Colin Lee (Plaintiff)

Patrick M. Ardis Wolff, Ardis P.C. 5810 Shelby Oaks Drive Memphis, TN 38134 (901) 763-3336 pardis@wolffardis.com Assigned: 06/04/2010 TERMINATED: 04/23/2012 ATTORNEY TO BE NOTICED representing Dylan Cruikshank TERMINATED: 04/23/2012 (Plaintiff)

Kristy M Arevalo McCune and Wright LLP 2068 Orange Tree Lane Suite 216 Redlands, CA 92374 909-335-1250 909-557-1275 (fax) kma@mccunewright.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Chris Chan Park (Plaintiff) Donald Pritchett (Plaintiff) Mary Ann Parker (Plaintiff) Seong Bae Choi (Plaintiff) Un Jin Choi (Plaintiff) Sandra Reech TERMINATED: 03/23/2011 (Plaintiff) Brenda E. Burack (Plaintiff) Phillip R. King (Plaintiff) Stephen I. Burack (Plaintiff)

Tamar G Arminak Geragos and Geragos 644 South Figueroa Street Los Angeles, CA 90017 213-625-3900 213-625-1600 (fax) arminak@geragos.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Akop Galadzhyan (Plaintiff) Ani Gazaryan (Plaintiff) Christine Aznavour (Plaintiff) Elza Dzhivalegyan (Plaintiff) Hrayr Okkasian (Plaintiff) Karine Mazmanyan (Plaintiff) Nerses Mazmanyan (Plaintiff) Svetlana Abajyan (Plaintiff) Tamara Harutyunyan (Plaintiff) Aza Srourian (Plaintiff) Bertam Srourian (Plaintiff) Elen Edilyan (Plaintiff) Frankie McKinney (Plaintiff) Nellie Yazitchyan (Plaintiff) Walter McKinney (Plaintiff) Robyn Horn (Plaintiff) Troy Menssen (Plaintiff)

James Thaddeus Armstrong Walton Lantaff 9350 S Dixie Highway 10th Floor Miami, FL 33156 U. S. 305-671-1300 670-7065 (fax) jarmstrong@waltonlantaff.com Assigned: 03/28/2012 ATTORNEY TO BE NOTICED representing Marta Velasco (Plaintiff)

Richard J. Arsenault Neblett Beard & Arsenault PO Box 1190 Alexandria, LA 71309 (318) 487-9874 (318) 561-2591 (fax) rarsenault@nbalawfirm.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing David Gaspard (Plaintiff) Dorothy Gaspard (Plaintiff)

Richard Joseph Arsenault Neblett Beard & Arsenault 2220 Bonaventure Court Alexandria, LA 71301 318-487-9874 318-561-2591 (fax) rarsenault@nbalawfirm.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Akop Galadzhyan (Plaintiff) Ani Gazaryan (Plaintiff) Christine Aznavour (Plaintiff) Elza Dzhivalegyan (Plaintiff) Hrayr Okkasian (Plaintiff) Karine Mazmanyan (Plaintiff) Nerses Mazmanyan (Plaintiff) Svetlana Abajyan (Plaintiff) Tamara Harutyunyan (Plaintiff) Thomas Davis (Plaintiff) Ted M. Wedul (Plaintiff) David Gaspard (Plaintiff) Dorothy Gaspard (Plaintiff) Robyn Horn (Plaintiff) Troy Menssen (Plaintiff)

John D. Arya Alston & Bird LLP 333 S Hope Street 16th Fl Los Angeles, CA 90071-2901 213-576-1000 213-576-1100 (fax) John.Arya@alston.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant)

William Francis Auther Bowman & Brooke LLP 2901 N Central Ave Ste 1600 Phoenix, AZ 85012-2736 602-643-2409 602-248-0947 (fax) will.auther@bowmanandbrooke.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant)

Shujah A Awan Whatley Drake & Kallas LLC 1540 Broadway 27th Floor New York, NY 10036 212/447-7070 212-447-7077 (fax) sawan@wdklaw.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Renita Cipriani (Plaintiff) John Harding (Plaintiff)

Nathan Axvig Franklin D Azar & Associates PC 14426 East Evans Avenue Aurora, CO 80014 303-757-3300 Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Dale Karjala (Plaintiff) Darrell P. Quintana (Plaintiff) Edward Isao Funasaki (Plaintiff) James P Griffin (Plaintiff) Elizabeth Seu (Plaintiff)

David L. Ayers Watkins & Eager, PLLC 400 E. Capitol Street The Emporium Bldg., Suite 300 P.O. Box 650 Jackson, MS 39205 601-948-6470 601-354-3623 (fax) dayers@watkinseager.com Assigned: 10/11/2012 ATTORNEY TO BE NOTICED representing Toyota Motor Sales, U.S.A., Inc. (ThirdParty Plaintiff)

David Lawrence Ayers Watkins and Eager PO Box 650 Jackson, MS 39205 601-965-1900 601-965-1981 (fax) dayers@watkinseager.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Corporation (Defendant) Brad Hughes Toyota (Defendant)

Franklin D Azar Franklin D Azar & Associates PC 14426 East Evans Avenue Aurora, CO 80014 303-757-3300 303-759-5203 (fax) azarf@fdazar.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Dale Karjala (Plaintiff) Darrell P. Quintana (Plaintiff) Edward Isao Funasaki (Plaintiff) Elizabeth Seu (Plaintiff) James P Griffin (Plaintiff) John Jeremy Robson TERMINATED: 01/31/2011 (Plaintiff)

William G Azar Azar & Schlehofer PC 800 East Dimond Boulevard Suite 3-640 Anchorage, AK 99515-2028 907-344-3434 907-349-1687 (fax) azarw@fdazar.com Assigned: 06/04/2010 TERMINATED: 02/28/2011 representing Edward Isao Funasaki (Plaintiff)

Sami Azhari Krohn & Moss Ltd 10474 Santa Monica Boulevard Suite 401 Los Angeles, CA 90025 (323)988-2400 (866)431-5575 (fax) sazhari@consumerlawcenter.com Assigned: 12/02/2010 TERMINATED: 02/10/2011 representing Michael Tomaszewski TERMINATED: 05/21/2012 (Plaintiff)

Keith M Babcock Lewis & Babcock LLP P.O. Box 11208 Columbia, SC 29211 803-771-8000 803-733-3534 (fax) kmb@lewisbabcock.com Assigned: 04/12/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Linda Alford Wooten (Plaintiff) Elaine Byrnes (Plaintiff) Alex Farrugia (Plaintiff) Barbara Jackson (Plaintiff) Daniel D Lee (Plaintiff) Kevin P Fogarty (Plaintiff)

Benjamin L Bailey Bailey & Glasser LLP 209 Capitol Street Charleston, WV 25301 304-345-6555 304-342-1110 (fax) bbailey@baileyglasser.com Assigned: 04/12/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Jeff Mullins (Plaintiff) Michael Graves (Plaintiff) Michael C Graves (Plaintiff) Elaine Byrnes (Plaintiff) Daniel D Lee (Plaintiff) Linda Alford Wooten (Plaintiff) Jill Bond (Plaintiff) Joel Bond (Plaintiff) Juana Veriguete-Montero (Plaintiff) Matthew Reese (Plaintiff) Paula Flynn Simmons (Plaintiff) Patricia Milton Steinfort (Plaintiff) Narcisso Pimentel (Plaintiff) Sosima Pimentel (Plaintiff)

Heather Marie Baker Kirtland and Packard LLP 2041 Rosecrans Avenue 3rd Floor El Segundo, CA 90245 310-536-1000 310-536-1001 (fax) hmb@kirtlandpackard.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Eric Kmetz (Plaintiff) Frank Palomares (Plaintiff) Joe Morris (Plaintiff) Joseph Hauter (Plaintiff) Linda Tang (Plaintiff)

John D Barker Krohn & Moss Ltd 10474 Santa Monica Boulevard Suite 401 Los Angeles, CA 90025 323-988-2400 866-431-5575 (fax) jbarker@consumerlawcenter.com Assigned: 05/16/2012 ATTORNEY TO BE NOTICED representing Michael Tomaszewski TERMINATED: 05/21/2012 (Plaintiff)

Richard P Barkley FRANKLIN D. AZAR & ASSOCIATES, P.C. 14426 EAST EVANS AVENUE AURORA, CO 80014 303-757-3300 barkleyr@fdazar.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Elizabeth Seu (Plaintiff)

Ben Barnow Barnow and Associates PC One North LaSalle Street Suite 4600 Chicago, IL 60602 312-621-2000 312-641-5504 (fax) b.barnow@barnowlaw.com Assigned: 04/12/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Heather A. Lane (Plaintiff)

Leonard Barrack Barrack Rodos & Bacine 3300 Two Commerce Square 2001 Market St Suite 3300 Philadelphia, PA 19103 215-963-0600 619-963-0838 (fax) lbarrack@barrack.com Assigned: 05/05/2010 ATTORNEY TO BE NOTICED representing Carol Ann Henderson (Plaintiff) Joseph J. Boppre (Plaintiff) Nancy L. Boppre (Plaintiff)

Don Barrett Don Barrett, PA 404 Court Square North P.O. Box 987 Lexington, MS 39095 662-834-2376 Assigned: 05/10/2010 ATTORNEY TO BE NOTICED representing Julie Rainwater (Plaintiff)

Dawn M Barrios Barrios Kingsdorf & Casteis 701 Poydras Street Suite 3650 New Orleans, LA 70139 504-524-3300 504-524-3313 (fax) barrios@bkc-law.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing David Gaspard (Plaintiff) Dorothy Gaspard (Plaintiff) Judy Barzare (Plaintiff) Michael Barzare (Plaintiff)

Jose L. Barro, III McGlinchey Stafford, PLLC (New Orleans) 601 Poydras St. 12th Floor New Orleans, LA 70130 504-596-2883 jbarro@mcglinchey.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing, Indiana, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor North America, Inc. (Defendant)

William H Bartle Murray & Murray Co LPA 111 East Shoreline Drive Sandusky, OH 44870-2517 419-624-3000 WHB@murrayandmurray.com Assigned: 04/29/2010 ATTORNEY TO BE NOTICED representing Daniel D Lee (Plaintiff)

James Henry Bartolomei, III Duncan Firm Three Financial Center 900 South Shackleford Road Suite 725 Little Rock, AR 72211 501-228-7600 501-228-0415 (fax) Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Wilma Lentz (Plaintiff)

Mila F Bartos Finkelstein Thompson LLP - DC 1050 30th Street NW Washington, DC 20007 202-337-8000 202-337-8090 (fax) mbartos@finkelsteinthompson.com Assigned: 05/05/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Charles Saba (Plaintiff) Robyn Saba (Plaintiff) Micah Maryn (Plaintiff)

Jennifer L Basola Krohn & Moss Ltd 10474 Santa Monica Boulevard Suite 401 Los Angeles, CA 90025 323-988-2400 jbasola@consumerlawcenter.com Assigned: 12/02/2010 ATTORNEY TO BE NOTICED representing Michael Tomaszewski TERMINATED: 05/21/2012 (Plaintiff)

Stephen R Basser Barrack Rodos and Bacine 600 West Broadway Suite 900 San Diego, CA 92101 619-230-0800 619-230-1874 (fax) sbasser@barrack.com Assigned: 04/12/2010 ATTORNEY TO BE NOTICED representing Max L. Lieberman (Plaintiff) Phyllis C. Lieberman (Plaintiff) Carol Ann Henderson (Plaintiff) Joseph J. Boppre (Plaintiff) Nancy L. Boppre (Plaintiff)

Gino F Battisi Foley and Mansfield PLLP 1001 Highlands Plaza Drive W Ste 400 St Louis, MO 63110 314-645-7788 314-645-9945 (fax) gbattisti@foleymansfield.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Rena M Ridenour (Plaintiff)

Christopher M. Battista Law Offices of Christpher M. Battista 10760-B Ambassador Drive Manassas, VA 20109 202-360-1016 chris@cmblegalanswers.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Micah Maryn (Plaintiff)

Stanley P. Baudin Pendley, Baudin & Coffin, LLP P.O. Drawer 71 24110 Eden St. Plaquemine, LA 70764-0071 225-687-6396 225-687-6398 (fax) sbaudin@pbclawfirm.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Allie R Rockforte (Plaintiff)

Mark S Baumkel 30200 Telegraph Road Suite 200 Bingham Farms, MI 48025 248-642-0444 248-642-6661 (fax) markbaumkel@classlaw.info Assigned: 04/12/2010 ATTORNEY TO BE NOTICED representing Deborah Baumkel (Plaintiff)

Jose M Bautista Sullivan Bautista Morgan Allen & Chronic LLC 1600 Baltimore Avenue Suite 200 Kansas City, MO 64108 816-221-9922 816-817-1962 (fax) jbautista@sbmaclaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Wilma Lentz (Plaintiff)

Andrew T Bayman King and Spalding LLP 191 Peachtree Street NE Suite 4900 Atlanta, GA 30303-1763 404-572-4600 404-572-5136 (fax) abayman@kslaw.com Assigned: 09/27/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant)

Sean D Beatty Beatty and Myers LLP East Tower 100 West Broadway Suite 5000 Long Beach, CA 90802 562-606-1530 562-268-1141 (fax) sbeatty@beattymyers.com Assigned: 05/15/2012 ATTORNEY TO BE NOTICED representing Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant)

Benjeman R Beck Krohn and Moss Ltd 10474 Santa Monica Boulevard Suite 401 Los Angeles, CA 90025 323-988-2400 bbeck@sacfirm.com Assigned: 03/08/2011 ATTORNEY TO BE NOTICED representing Michael Tomaszewski TERMINATED: 05/21/2012 (Plaintiff)

Blake L Beckham The Beckham Group 3400 Carlisle Suite 550 Dallas, TX 75204 214-965-9300 blake@beckham-group.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Jay Brandt (Plaintiff)

Kendra N Beckwith Wheeler Trigg O'Donnell LLP 1801 California Street Suite 3600 Denver, CO 80202 303-244-1800 beckwith@wtotrial.com Assigned: 03/11/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant)

Christopher Devon Becnel Becnel Law Firm, LLC (LaPlace) 425 West Airline Highway Suite B LaPlace, LA 70068 985-651-6101 cdbecnel@becnellaw.com Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Amanda R Maillho (Plaintiff)

Daniel E Becnel, Jr Becnel Law Firm LLC 106 West 7th Street PO Drawer H Reserve, LA 70084 985-536-1186 985-536-6445 (fax) dbecnel@becnellaw.com Assigned: 04/12/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Amanda R Maillho (Plaintiff) Ann Cavalier (Plaintiff) Colby Wenck (Plaintiff) Daniel Weimer, Jr. (Plaintiff) Gary T Brock (Plaintiff) Rhonda Talbot (Plaintiff) Cynthia M. Parker (Plaintiff) Dr. Fred Sander (Plaintiff) Galatia D Johnson (Plaintiff) Peter Phaneuf (Plaintiff) Wanda M. Lee (Plaintiff) Lillian Harris (Plaintiff)

Darryl James Becnel Becnel Law Firm, LLC (Reserve) 106 W. Seventh St. P. O. Drawer H Reserve, LA 70084 985-536-1186 darrylbecnel@becnellaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Cynthia M. Parker (Plaintiff) Galatia D Johnson (Plaintiff) Wanda M. Lee (Plaintiff)

Robert M Becnel Law Offices of Robert M Becnel 425 West Airline Highway, Suite B Laplace, LA 70068 985-651-6101 Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Gary T Brock (Plaintiff)

Toni B Becnel Becnel Law Firm, LLC 425 West Airline Highway Suite B LaPlace, LA 70068 985-651-6101 tonis11@hotmail.com Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Amanda R Maillho (Plaintiff)

Andrew E Bederman Greenberg and Bederman LLP 1111 Bonifant St Silver Spring, MD 20910 13015892200 13015896706 (fax) abederman@gblawyers.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Edith Schantz (Plaintiff) Joseph Schantz (Plaintiff)

C Michael Bee Hill Peterson Carper Bee & Deitzler PLLC 500 Tracy Way Charleston, WV 25311-1261 304-345-5667 cmbee@hpcbd.com Assigned: 10/08/2010 ATTORNEY TO BE NOTICED representing Matthew Reese (Plaintiff) Paula Flynn Simmons (Plaintiff) Narcisso Pimentel (Plaintiff) Sosima Pimentel (Plaintiff)

Harry F. Bell, Jr. THE BELL LAW FIRM P. O. Box 1723 Charleston, WV 25326 304 345-1700 304/345-1715 (fax) hfbell@belllaw.com Assigned: 06/08/2010 ATTORNEY TO BE NOTICED representing Ira Lee Dadisman (Plaintiff) Virginia Lawson (Plaintiff) William R. Lawson (Plaintiff)

Jay S Belshaw Jay S Belshaw Law Offices 2276 Torrance Blvd Torrance, CA 90501 310-320-9742 310-320-0102 (fax) jaybelslaw@sbcglobal.net Assigned: 09/20/2012 ATTORNEY TO BE NOTICED representing M.F. Salta Company, Inc. (Defendant)

Mary Nell Bennett Neblett Beard & Arsenault 2220 Bonaventure Court PO Box 1190 Alexandria, LA 71309-1190 318-487-9874 Assigned: 11/12/2010 TERMINATED: 07/03/2012 representing Ani Gazaryan (Plaintiff) Christine Aznavour (Plaintiff) David Gaspard (Plaintiff) Dorothy Gaspard (Plaintiff) Robyn Horn (Plaintiff) Ted M. Wedul (Plaintiff) Thomas Davis (Plaintiff) Troy Menssen (Plaintiff)

Jerry Baker Auto Sales, LLC 600 Industrial Road Sedalia, MO 65301 (Plaintiff)

Philip John Berenz Robert A. Langendorf, P.C. 134 North LaSalle Street Suite 1515 Chicago, IL 60602 312-375-6524 312-377-1771 (fax) philberenz@yahoo.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Willette Green (Plaintiff)

Philip John Berenz Robert A. Langendorf, P.C. 134 North LaSalle Street Suite 1515 Chicago, IL 60602 312-375-6524 312-377-1771 (fax) philberenz@yahoo.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Ed Izenstark (Plaintiff)

Jennifer K Berg Baron & Budd PC 9465 Wilshire Boulevard Suite 460 Beverly Hills, CA 90212 310-860-0476 jennifer.berg@ngem.com Assigned: 04/15/2010 TERMINATED: 11/04/2011 representing Adilia Aviles (Plaintiff)

Steve W Berman Hagens Berman Sobol Shapiro LLP 1918 Eighth Avenue Suite 3300 Seattle, WA 98101 206-623-7292 206-623-0594 (fax) steve@hbsslaw.com Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Christine Hotaling (Plaintiff) Donald Graham (Plaintiff) Ebony Brown (Plaintiff) Elizabeth Van Zyl (Plaintiff) Gary Davis (Plaintiff) Henry Troup (Plaintiff) Linda Summerville (Plaintiff) Robert Navarro (Plaintiff) Rodney Josephson (Plaintiff) Thomas E. Gudmundson (Plaintiff) Veronica Troup (Plaintiff) John Flook TERMINATED: 01/30/2012 (Plaintiff) Dana Clark (Plaintiff) E. Brandon Bowron (Plaintiff) Elizabeth Van Zyl (Plaintiff) Michael Lackey (Plaintiff) Terasita Ramos (Plaintiff) Weller W. Douglas (Plaintiff) John Jeremy Robson TERMINATED: 01/31/2011 (Plaintiff) Dana Clark Weller (Plaintiff) Douglas W Weller (Plaintiff) Bruce Alan Harkey TERMINATED: 01/10/2011 (Plaintiff) Nancy Montemerlo TERMINATED: 01/10/2011 (Plaintiff) Phillip Finkel TERMINATED: 01/10/2011 (Plaintiff) Dale Baldisseri (Plaintiff) Adam Aleszczyk (Plaintiff) Albert Bosse (Plaintiff) Dr Aly A Mahmoud (Plaintiff) Ann Fleming-Weaver (Plaintiff) Arlene Caylor (Plaintiff) Barbara Saunders (Plaintiff) Barry Karlin (Plaintiff) Bianca Prade (Plaintiff) Bridie Doino (Plaintiff) Carl Nyquist (Plaintiff) Catherine Roe (Plaintiff) Darlene Kleinfeldt (Plaintiff) David Caylor (Plaintiff) Demetra Christopher (Plaintiff) Deshawna Carter (Plaintiff) Donna Cramer (Plaintiff) Douglas Guilbert (Plaintiff) Elise Kuhner (Plaintiff) Frank Visconi (Plaintiff) George Radmall (Plaintiff) Georgeann Whelan (Plaintiff) Hal Farrington (Plaintiff) Jan Bowling (Plaintiff) Jane Taylor (Plaintiff) Janette Seymour (Plaintiff) Jeremy Henson (Plaintiff) Joel Barker (Plaintiff) John Geddis (Plaintiff) John Laidlaw (Plaintiff) John Moscicki (Plaintiff) Joseph Chant (Plaintiff) Jude Anheluk (Plaintiff) Karen Pedigo (Plaintiff) Karina Brazdys (Plaintiff) Katherine Musgrave (Plaintiff) Kathleen Allen (Plaintiff) Kathleen Atwater (Plaintiff) Lucinda K Mahmoud (Plaintiff) Lucy Barker (Plaintiff) Maria Cisneros (Plaintiff) Mary Laidlaw (Plaintiff) Matthew Heidenreich (Plaintiff) Maureen Fitzgerald (Plaintiff) Monica Lowe (Plaintiff) Nancy Seamons (Plaintiff) Peggie Perkin (Plaintiff) Priscilla Manarino-Leggett (Plaintiff) Randee Romaner (Plaintiff) Rich Bowling (Plaintiff) Richard Benjamin (Plaintiff) Richard Kuhner (Plaintiff) Richard Swalm (Plaintiff) Richard Wolfe (Plaintiff) Rocco Doino (Plaintiff) Roland Pippin (Plaintiff) Shirley Ward (Plaintiff) Steven Prade (Plaintiff) Susan Chambers (Plaintiff) Susan Gonzalez (Plaintiff) Tully Seymour (Plaintiff) Vanessa Bozeman (Plaintiff) Victoria Karlin (Plaintiff) Walt Crigler (Plaintiff) Wanda Bosse (Plaintiff) William Kleinfeldt (Plaintiff) Lawrence Nelson TERMINATED: 03/23/2011 (Plaintiff) Christopher Lenney TERMINATED: 01/30/2012 (Plaintiff) Steven McDaniel, Jr TERMINATED: 01/30/2012 (Plaintiff) Charles Henry (Plaintiff) Charmayne Bennett (Plaintiff) Ira Savoy (Plaintiff) Judy Veitz (Plaintiff) Vuin Edward Epps (Plaintiff) Ziva Goldstein (Plaintiff) Ada Morales TERMINATED: 01/30/2012 (Plaintiff) Carol Danziger TERMINATED: 03/22/2012 (Plaintiff) Robert Ruf TERMINATED: 04/19/2012 (Plaintiff) Alvarez-Perez Conjugal Partnership (Plaintiff) Ananda (Plaintiff) Auto Lenders Liquidation Center, Inc. (Plaintiff) Bureau Chief Laura Green (Plaintiff) Deluxe Holdings, Inc. (Plaintiff) G&M Motors, Inc. (Plaintiff) Green Spot Motors Co (Plaintiff) Honorable Paul Turner (Plaintiff) Jasni (Plaintiff) LaRocca's Auto Sales, Inc. (Plaintiff) SPP Inc (Plaintiff) Similarly Situated John and Jane Does (Plaintiff) State Farm Mutual Automobile Insurance Company (Plaintiff) Susan Rifken Ltd (Plaintiff) Aaron Austin (Plaintiff) Aaron Green (Plaintiff) Aaron Jones (Plaintiff) Ada Roldan-Soto (Plaintiff) Adeniyi Toriola (Plaintiff) Adilia Aviles (Plaintiff) Akop Galadzhyan (Plaintiff) Albert A. Pena, III (Plaintiff) Alex Farrugia (Plaintiff) Alexandre Louis (Plaintiff) Alfred Shepard (Plaintiff) Alfredo Hernandez Barranco (Plaintiff) Alice Thall (Plaintiff) Allan L Weller (Plaintiff) Allie R Rockforte (Plaintiff) Alyson L. Oliver (Plaintiff) Amanda Laird (Plaintiff) Amanda R Maillho (Plaintiff) Amanda J. Noble (Plaintiff) Amelfis Rojas (Plaintiff) Amy S Reichek (Plaintiff) Amy Smith Roth (Plaintiff) Andrew Flury (Plaintiff) Aneste Edmond (Plaintiff) Angela Boles (Plaintiff) Ani Gazaryan (Plaintiff) Ann Cavalier (Plaintiff) Ann Snider (Plaintiff) Anthony Bonacci (Plaintiff) Anthony Crespo (Plaintiff) Anthony Georges-Pierre (Plaintiff) Anthony M. Georges-Pierre (Plaintiff) Antonio Ramos (Plaintiff) Aristin Joseph (Plaintiff) Arlene S. Heilbrunn (Plaintiff) Aza Srourian (Plaintiff) BEVERLY MORGAN (Plaintiff) Barbara Iglesias (Plaintiff) Barbara Jackson (Plaintiff) Beatrice Jackson (Plaintiff) Belva Simmons (Plaintiff) Benjamin L Carriere (Plaintiff) Benjamin Hughes (Plaintiff) Bernadine Shepard (Plaintiff) Bertam Srourian (Plaintiff) Betsy Havens (Plaintiff) Betty Tomlin (Plaintiff) Beverly Ifergan (Plaintiff) Beverly Ann Martell (Plaintiff) Beverly Yip (Plaintiff) Boniface Sylvestre (Plaintiff) Bonnie Jackson (Plaintiff) Bonnie Shansky (Plaintiff) Brenda Bishop (Plaintiff) Brenda E. Burack (Plaintiff) Brenda Shonfield (Plaintiff) Brenda A Whaley (Plaintiff) Brian Deis (Plaintiff) Bridgette Scott (Plaintiff) Brunel Hilaire (Plaintiff) Bryon Hawes (Plaintiff) Burton Field (Plaintiff) CARLISLE B. KINKADE (Plaintiff) CESARE COSLOP, IV (Plaintiff) CHRISTINE L. PERSONS (Plaintiff) CULLEN KIRKPATRICK (Plaintiff) Cameron Van Alfen (Plaintiff) Carol Ann Henderson (Plaintiff) Carole Fisher (Plaintiff) Carole R. Young (Plaintiff) Carolyn Boudoin (Plaintiff) Carolyn Ford (Plaintiff) Casey Van Alfen (Plaintiff) Catherine De Bruin (Plaintiff) Catherine Donohue (Plaintiff) Catherine Lebson (Plaintiff) Catherine Nguyen (Plaintiff) Cathy Cisetti (Plaintiff) Cathy Miller (Plaintiff) Chairul Lubis (Plaintiff) Charlene Tran (Plaintiff) Charles E. Pittman (Plaintiff) Charles Saba (Plaintiff) Charles Turner (Plaintiff) Charley Alton Jones (Plaintiff) Cheng Li Zhang (Plaintiff) Cheryl Abken (Plaintiff) Chris Chan Park (Plaintiff) Christina Ochs (Plaintiff) Christine Aznavour (Plaintiff) Christine Carr (Plaintiff) Christine Fogh (Plaintiff) Christine Mitchell (Plaintiff) Christine Schara (Plaintiff) Christopher Carlson (Plaintiff) Christopher L. Leaverton (Plaintiff) Cindy L. Bencsik (Plaintiff) Claude Benoit (Plaintiff) Claudia H. Taylor (Plaintiff) Clayton Q Aukland (Plaintiff) Cloricia Lissaint (Plaintiff) Colby Wenck (Plaintiff) Connie Kamphaus (Plaintiff) Cordarro Guillory (Plaintiff) Cornelia Neely (Plaintiff) Crystal Gilmore (Plaintiff) Curtis McCleskey (Plaintiff) Cynthia M. Parker (Plaintiff) DEISY F TOLEDO (Plaintiff) DIANE SCHLOSBERG (Plaintiff) Dale Karjala (Plaintiff) Dale Roberts (Plaintiff) Daniel Boudreault (Plaintiff) Daniel Durgin (Plaintiff) Daniel Fontane (Plaintiff) Daniel Hamilton (Plaintiff) Daniel D Lee (Plaintiff) Daniel Weimer, Jr. (Plaintiff) Darrell P. Quintana (Plaintiff) Darshak Shah (Plaintiff) David Beardsley (Plaintiff) David Gaspard (Plaintiff) David Hanna (Plaintiff) David Rosenberg (Plaintiff) David Ross (Plaintiff) David Works (Plaintiff) Dawei Li (Plaintiff) Dawn De Vincenzi (Plaintiff) Deanna Riley (Plaintiff) Deborah Baumkel (Plaintiff) Deborah Mayton (Plaintiff) Debra Poynter (Plaintiff) Debra Young (Plaintiff) Demetrice Bibbins (Plaintiff) Dennis Snider (Plaintiff) Dennis Sowders (Plaintiff) Dennis J. Waugh (Plaintiff) Devra Glassman (Plaintiff) Diane Gumble (Plaintiff) Donald Pritchett (Plaintiff) Donna B. Bellony (Plaintiff) Donna Hanna (Plaintiff) Dora Argueta (Plaintiff) Dorothy Gaspard (Plaintiff) Dot-Marie Gallardo-Browning (Plaintiff) Dru Colin Lee (Plaintiff) Dumery Thervil (Plaintiff) Dunois obain (Plaintiff) Dwayne Watkins, Jr. (Plaintiff) ELIZABETH GROSMAN (Plaintiff) Ed Izenstark (Plaintiff) Edgardo Soliman (Plaintiff) Edgardo Vargas-Guzman (Plaintiff) Edith Schantz (Plaintiff) Eduardo Recinos (Plaintiff) Edward Isao Funasaki (Plaintiff) Edward Kline (Plaintiff) Edward Siff (Plaintiff) Edward Skillman (Plaintiff) Edward Syahputra (Plaintiff) Edward Wojeck (Plaintiff) Elaine Byrnes (Plaintiff) Elen Edilyan (Plaintiff) Elie Cezaire (Plaintiff) Elita Hilaire (Plaintiff) Eliza Esquivel Lozano (Plaintiff) Elizabeth Seu (Plaintiff) Elvira Gesell (Plaintiff) Elvire Paul (Plaintiff) Elwanda Fontenot (Plaintiff) Elza Dzhivalegyan (Plaintiff) Emebet Bekele (Plaintiff) Emilio Mogollon Quintanar (Plaintiff) Emily Smith, - (Plaintiff) Enoc Desroches (Plaintiff) Eric Kmetz (Plaintiff) Erica Thomas (Plaintiff) Ernest Cornell (Plaintiff) Ernestine Montgomery (Plaintiff) Ernesto Reyes Diaz (Plaintiff) Estelle Gottesman (Plaintiff) Etienne Eva (Plaintiff) Evelyn Iona Hutchins (Plaintiff) FRANCINE GUOKAS (Plaintiff) Faruk Xhakli (Plaintiff) Fay W. Humphrey (Plaintiff) Fitzroy James (Plaintiff) Fran Preedom (Plaintiff) Francis Joseph Coronel (Plaintiff) Frank Palomares (Plaintiff) Frank Whiddon (Plaintiff) Frankie McKinney (Plaintiff) Fred Miller (Plaintiff) Dr. Fred Sander (Plaintiff) Frederick Greisiger (Plaintiff) GENE KINKADE (Plaintiff) Gabriel Jean Foix (Plaintiff) Gabriel Zieme-Diedrich (Plaintiff) Galatia D Johnson (Plaintiff) Gary T Brock (Plaintiff) Gary Brown (Plaintiff) Gary Gustin (Plaintiff) Gary LeMay (Plaintiff) Gary Ratliff (Plaintiff) Gayle R Barrett (Plaintiff) Gayle Gagliano (Plaintiff) Gene Peay Darrah (Plaintiff) George C Weyer (Plaintiff) Georges Vincent (Plaintiff) Gerald Murphy (Plaintiff) Geraldine Haddad (Plaintiff) Germain Dazile (Plaintiff) Ghislaine Bernard (Plaintiff) Gladys Appolon (Plaintiff) Glaneuse Baptiste (Plaintiff) Gloria Haynes (Plaintiff) Gloria Park (Plaintiff) Gonzalo Oros Villalobos (Plaintiff) Grace Shigematsu (Plaintiff) Gregory Slocum (Plaintiff) Guicai Liu (Plaintiff) Gulaine Dorsainvil (Plaintiff) Gustavo Lopez (Plaintiff) H. W. Fanning (Plaintiff) Hae Chang (Plaintiff) Harry Williams (Plaintiff) Hatice Hulya Yigit (Plaintiff) Heather A. Lane (Plaintiff) Henri Gattereau (Plaintiff) Herbert Sihite (Plaintiff) Hilda Carro-Hernandez (Plaintiff) Histha Henry (Plaintiff) Holly Boyd (Plaintiff) Holly Sue Knighton (Plaintiff) Howard Sportsman (Plaintiff) Hrayr Okkasian (Plaintiff) Hu Jin (Plaintiff) Hugh W Cox (Plaintiff) Hugo Jean (Plaintiff) Humberto Rivas-Vigil (Plaintiff) Ida Starr St John (Plaintiff) Igoshin Vladimir Vladimirovich (Plaintiff) Ira Lee Dadisman (Plaintiff) Isabella Jones (Plaintiff) JANICE MARKOWITZ (Plaintiff) JON J. DARCY (Plaintiff) JOSEPH B. TIBONI (Plaintiff) Jackie McCleskey (Plaintiff) Jacquelyn Donoghue (Plaintiff) Jacquelyn Myers (Plaintiff) James Michael Bell (Plaintiff) James P Griffin (Plaintiff) James R. Haustein (Plaintiff) James E. Humphrey (Plaintiff) James Schreckengost, Sr. (Plaintiff) Jane Saint Drake (Plaintiff) Janet K. Black (Plaintiff) Janice Feaster (Plaintiff) Jason Kaufmann (Plaintiff) Jay Brandt (Plaintiff) Jean Achille (Plaintiff) Jean Dominguez (Plaintiff) Jean Isaac (Plaintiff) Jean C. Louis (Plaintiff) Jean P Philidor (Plaintiff) Jean Daniel Renois (Plaintiff) Jean Velliquette (Plaintiff) Jeanne Epstein (Plaintiff) Jeannette Klein (Plaintiff) Jeannie Menard (Plaintiff) Jeff Mullins (Plaintiff) Jeffrey Vincent (Plaintiff) Jennifer Wendy Burke (Plaintiff) Jennifer Rose Carriere (Plaintiff) Jennifer Porter (Plaintiff) Jennifer Lee Glardon (Plaintiff) Jenny Devereaux (Plaintiff) Jerry A Borbon (Plaintiff) Jessie Guillory (Plaintiff) Jill Bond (Plaintiff) Jim Heidenreich (Plaintiff) Jim O'Rourke (Plaintiff) Jimmy Laine Belotte (Plaintiff) Jo Ann Parochetti (Plaintiff) Joan Skillman (Plaintiff) Joanne Lermar (Plaintiff) Jody Weigel (Plaintiff) Joe Morris (Plaintiff) Joel Bond (Plaintiff) Joel Grunkemeyer (Plaintiff) John Harding (Plaintiff) John Strigle (Plaintiff) John Sukola (Plaintiff) Johnny St. Jean (Plaintiff) Jolene Jones (Plaintiff) Jonathan Gellman (Plaintiff) Jonathan Santana (Plaintiff) Jonathan Scillian (Plaintiff) Jordan M Carriere (Plaintiff) Jose E. Novoa (Plaintiff) Joseph J. Boppre (Plaintiff) Joseph A Cadet (Plaintiff) Joseph Christian (Plaintiff) Joseph R Graybeal (Plaintiff) Joseph Hauter (Plaintiff) Joseph R Hernandez (Plaintiff) Joseph Schantz (Plaintiff) Joyce Ann Atnip (Plaintiff) Juana Veriguete-Montero (Plaintiff) Judith M Enderle (Plaintiff) Judith Weinberger (Plaintiff) Judy Barzare (Plaintiff) Julie Beard (Plaintiff) Julie Rainwater (Plaintiff) Justin Joseph (Plaintiff) Karen Bickel (Plaintiff) Karen S. Crozier (Plaintiff) Karen Mueller (Plaintiff) Karen F. Ruiz (Plaintiff) Karine Mazmanyan (Plaintiff) Kathleen MacTaggart (Plaintiff) Kathy Boyask (Plaintiff) Keith Sealing (Plaintiff) Kelley W. Dion (Plaintiff) Kerri Madden (Plaintiff) Kevin P Fogarty (Plaintiff) Kevin Funez (Plaintiff) Kevin Young (Plaintiff) Kiersten Hawes (Plaintiff) Kirk Crank (Plaintiff) Kishin Khilnani (Plaintiff) Kristie Williams (Plaintiff) Kristopher Gaspar (Plaintiff) Kristopher Gaspos (Plaintiff) Krystal Eggerding (Plaintiff) Kyle Briggs (Plaintiff) LINDA KIRKPATRICK (Plaintiff) LOUISE GORDON (Plaintiff) Lacey Laudicina (Plaintiff) Lana K. Pittman (Plaintiff) Larissa Parker (Plaintiff) Larry Boudoin (Plaintiff) Latasha Burge (Plaintiff) Laura Centeno Jimenez (Plaintiff) Laurence K. Johnston (Plaintiff) Laurence F. Siegel (Plaintiff) Laurie Chambers (Plaintiff) Lee Shonfield (Plaintiff) Lena Gally (Plaintiff) Leopoldo Portillo (Plaintiff) Lesley Scillian (Plaintiff) Lianfang Wang (Plaintiff) Lillian Harris (Plaintiff) Lin Yang (Plaintiff) Lin Zhang (Plaintiff) Linda Jean Charles (Plaintiff) Linda Graham (Plaintiff) Linda Slocum Price (Plaintiff) Linda Tang (Plaintiff) Linda Alford Wooten (Plaintiff) Lisa A. Labar (Plaintiff) Lori S Trahan (Plaintiff) Lorma Victor (Plaintiff) Louis Pera, Jr. (Plaintiff) Lucero Davidson (Plaintiff) Lucsie Francois (Plaintiff) Ludger Charles (Plaintiff) Lufrance Elien (Plaintiff) Luis Alvarez-Cabrera (Plaintiff) Luis Fernandez (Plaintiff) Lurline Slocum (Plaintiff) Lydia Ellison (Plaintiff) Lydia Olavarria-Vargas (Plaintiff) Lynda Bisseger (Plaintiff) MICHAEL DUBE (Plaintiff) MICHAEL PIOTROWICZ (Plaintiff) MIN CHUN (Plaintiff) Makenna Lloyd (Plaintiff) Malcom Hawes (Plaintiff) Malina Salvador (Plaintiff) Mandy Dacosta Pierre (Plaintiff) Marc H. Oracia (Plaintiff) Margaret Bocskor (Plaintiff) Margaret Daly (Plaintiff) Margaret Gonzales (Plaintiff) Margaret Sowders (Plaintiff) Margaret Sportsman (Plaintiff) Maria Helmick (Plaintiff) Mariam Ibrahim (Plaintiff) Marie DuBois (Plaintiff) Marie Elisee (Plaintiff) Marie Michelle Glemaud (Plaintiff) Marie Isaac (Plaintiff) Marie Martin (Plaintiff) Marie Mathurin (Plaintiff) Marie Thi Mentor (Plaintiff) Marie Joelle Placide (Plaintiff) Mario Elisee (Plaintiff) Mark Adkinson (Plaintiff) Mark Davidson (Plaintiff) Mark Fraase (Plaintiff) Mark Roundy (Plaintiff) Martha Siregar (Plaintiff) Mary Jo Crank (Plaintiff) Mary Ferrara (Plaintiff) Mary Pat Hauck (Plaintiff) Mary Ann Parker (Plaintiff) Mary Patricia Ryan (Plaintiff) Matthew Marr (Plaintiff) Matthew Reese (Plaintiff) Maureen Colaberdino (Plaintiff) Max L. Lieberman (Plaintiff) Maxine Rosenfeld (Plaintiff) May Zhang (Plaintiff) Meetesh Shah (Plaintiff) Melanie Berlieb (Plaintiff) Melanie Bonacci (Plaintiff) Melba M. Mitchell (Plaintiff) Meredith Heller (Plaintiff) Merna Siff (Plaintiff) Merredieu Pollas (Plaintiff) Micah Maryn (Plaintiff) Michael Barzare (Plaintiff) Michael Daly (Plaintiff) Michael Graves (Plaintiff) Michael C Graves (Plaintiff) Michael Jermakian (Plaintiff) Michael Matsis (Plaintiff) Michael Miller (Plaintiff) Michael Noble (Plaintiff) Michael Riley (Plaintiff) Michael Roberge (Plaintiff) Michael Yastrab (Plaintiff) Michelle Lynch (Plaintiff) Michelle Santana (Plaintiff) Miguel E. Cordero (Plaintiff) Mike Martell (Plaintiff) Milagros Rodriguez-Cruz (Plaintiff) Millie Charlottie Hartgrove (Plaintiff) Mindy A. Corrigan (Plaintiff) Mirna Argueta (Plaintiff) Moliere Jinoel (Plaintiff) Mona Cayemille (Plaintiff) Monde Chery (Plaintiff) Mostfa Fahmy (Plaintiff) Myrna Miller (Plaintiff) NANCY BOEHM (Plaintiff) Nancy L. Boppre (Plaintiff) Nani Indriyastuti (Plaintiff) Natalia Komarova (Plaintiff) Ned Sachs (Plaintiff) Nellie Yazitchyan (Plaintiff) Nerses Mazmanyan (Plaintiff) Omar Alexander Montes (Plaintiff) Omar Roberts (Plaintiff) Orusmond Florestal (Plaintiff) Ovidio Aguirre Vela (Plaintiff) Pamela M Cox (Plaintiff) Pamela Frederickson (Plaintiff) Pangihutan Simanjuntak (Plaintiff) Patel Nimishabahen (Plaintiff) Patricia B Graybeal (Plaintiff) Patricia Grier (Plaintiff) Patricia Schreckengost (Plaintiff) Patricia Milton Steinfort (Plaintiff) Patrick Kwiatkowski (Plaintiff) Paul Anthony Banton (Plaintiff) Paul Richard Knighton (Plaintiff) Paul Rosenfeld (Plaintiff) Paul Spisto (Plaintiff) Paul V. Kilpatrick, III (Plaintiff) Paula Flynn Simmons (Plaintiff) Paulga Ferdinard (Plaintiff) Peter Phaneuf (Plaintiff) Peter Wisner (Plaintiff) Philip James Darrah (Plaintiff) Phillip R. King (Plaintiff) Phyllis C. Lieberman (Plaintiff) Pierre Luc Leo (Plaintiff) REGINA H. DARCY (Plaintiff) Raliegh Scott (Plaintiff) Ralph Wetherington (Plaintiff) Ramon Ojeda-Rivera (Plaintiff) Reba Patterson (Plaintiff) Rebecca Clifton (Plaintiff) Rebecca S. Shumaker (Plaintiff) Reinaldo Felipe Hernandez (Plaintiff) Rena M Ridenour (Plaintiff) Renita Cipriani (Plaintiff) Rhea Rodgers (Plaintiff) Rhonda Talbot (Plaintiff) Ricardo Samper (Plaintiff) Richard Immerman (Plaintiff) Richard Thall (Plaintiff) Richard Weinberger (Plaintiff) Robert Elmes (Plaintiff) Robert Kogen (Plaintiff) Robert Stephen McKinney (Plaintiff) Robert O Leary (Plaintiff) Robert L. Samuels (Plaintiff) Robert Smyser (Plaintiff) Robert J Whaley (Plaintiff) Robyn Horn (Plaintiff) Robyn Saba (Plaintiff) Romanus Akamike (Plaintiff) Ron Ellis (Plaintiff) Ron McClelland (Plaintiff) Ron Poynter (Plaintiff) Ronald Fahey (Plaintiff) Ronald Shigematsu (Plaintiff) Ronald Walls (Plaintiff) Roney Moses (Plaintiff) Rosalina Diaz (Plaintiff) Rosario Garcia (Plaintiff) Rose M Augustine (Plaintiff) Rosetta Rehder (Plaintiff) Roshawn Donahue (Plaintiff) Roslyn Patterson Nelson (Plaintiff) Roy Williams (Plaintiff) Roz Schwartz (Plaintiff) Ruben Munoz (Plaintiff) Ruth Shechter (Plaintiff) S. Firgon (Plaintiff) SOON O. JEONG (Plaintiff) SYBIL REICHECK (Plaintiff) Saintil Petit Frere (Plaintiff) Sam Goldberger (Plaintiff) Samuel Calixte (Plaintiff) Sandra Livingston (Plaintiff) Sandra Perez-Mendez (Plaintiff) Sandra Valdez (Plaintiff) Sandy Carmichael (Plaintiff) Sang Seok Na (Plaintiff) Sasha Nizgoda (Plaintiff) Saundra Hill Scott (Plaintiff) Sean Beard (Plaintiff) Sean Maxwell (Plaintiff) Selena Michelle Hines-Muhammad (Plaintiff) Seong Bae Choi (Plaintiff) Serge Derival (Plaintiff) Shalini Ignatenkov (Plaintiff) Sharlene Cohen-Goldberg (Plaintiff) Sharon Wilson (Plaintiff) Sharrolyn Jimerson (Plaintiff) Shawnee W. Scharer (Plaintiff) Sheldon Kogen (Plaintiff) Shenita Walker (Plaintiff) Sheydalis Casul-De Jesus (Plaintiff) Shirlene Van Alfen (Plaintiff) Sisiliana Ridwan (Plaintiff) Solomon Harbor (Plaintiff) Sonya Gray (Plaintiff) Stacey C. Schott (Plaintiff) Stefanie Bradley (Plaintiff) Stefanie Cece (Plaintiff) Stephanie Cedillo (Plaintiff) Stephen I. Burack (Plaintiff) Steve Clemons (Plaintiff) Steven Boughner (Plaintiff) Steven Slocum (Plaintiff) Stuart Plush (Plaintiff) Susan Ong (Plaintiff) Suzette L. Farrelly (Plaintiff) Suzzane McCoy (Plaintiff) Svetlana Abajyan (Plaintiff) Sylvia Fernandez (Plaintiff) Sylvia Gausch (Plaintiff) Sylvia Guasch (Plaintiff) Sylvia Pena (Plaintiff) Syzana Xhakli (Plaintiff) T Leigh Beard (Plaintiff) Tahiry Ramos (Plaintiff) Tamara Harutyunyan (Plaintiff) Tanya Ross (Plaintiff) Tatiana Alvarez-Perez (Plaintiff) Ted M. Wedul (Plaintiff) Tetti Suriati (Plaintiff) Tetyana Flury (Plaintiff) Thelma Sue Jude (Plaintiff) Thelma Reid (Plaintiff) Thomas Davis (Plaintiff) Thomas Downey Sr (Plaintiff) Thomas Mayton (Plaintiff) Thomas A Trahan (Plaintiff) Thomas Lee Wachtel, MD (Plaintiff) Tiffany Jones (Plaintiff) Timothy P. Farrelly (Plaintiff) Timothy Helmick (Plaintiff) Timothy John Vanagas (Plaintiff) Tina Preedom (Plaintiff) Titsa Pelzman (Plaintiff) Todd Allen (Plaintiff) Tom Kunce (Plaintiff) Travis Van Alfen (Plaintiff) Trimurti Jazanul (Plaintiff) Troy Menssen (Plaintiff) Un Jin Choi (Plaintiff) Valerii Kolganov (Plaintiff) Veronica Anderson (Plaintiff) Victor Levey (Plaintiff) Vilsaint Georges (Plaintiff) Virginia Lawson (Plaintiff) Viviane Stoller (Plaintiff) Walter McKinney (Plaintiff) Walter Scott Tarter (Plaintiff) Wanda M. Lee (Plaintiff) Wayne S. Harris (Plaintiff) Wayne Schlegel (Plaintiff) Wayne Tomlin (Plaintiff) Wei Guo (Plaintiff) Willette Green (Plaintiff) Willette Riley (Plaintiff) William R. Lawson (Plaintiff) William Simmons (Plaintiff) William Givens, II (Plaintiff) Willy Saint Hilaire (Plaintiff) Willy Jacques (Plaintiff) Wilma Herrera (Plaintiff) Wilma Lentz (Plaintiff) Xiaobin Wang (Plaintiff) Yilong Liu (Plaintiff) Yiqin Zhang (Plaintiff) Yonet Gardiner (Plaintiff) Yva Audelin (Plaintiff) Zahira Crespo-Bithorn (Plaintiff) Zhijie Deng (Plaintiff) jacques jean (Plaintiff) Lisa Creighton TERMINATED: 05/04/2010 (Plaintiff) Lu Li TERMINATED: 05/04/2010 (Plaintiff) Suzanne Riegel Breit TERMINATED: 04/22/2011 (Plaintiff) Michael Tomaszewski TERMINATED: 05/21/2012 (Plaintiff) MORTON REICHEK TERMINATED: 12/12/2012 (Plaintiff)

Hope Willard Tabor City, NC (Plaintiff)

MITCHELL P. GEDID 921 Mclaughlin Run Road Bridgeville, PA 15017 (412) 758-7599 (Plaintiff) K. R. 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff)

Denese Rhooms 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff)

Dwayne Rhooms 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff)

Jeremy Beale 1411 Allanwood Lane Dayton, OH 45432 (Plaintiff)

Kristina Beale 1411 Allanwood Lane Dayton, OH 45432 (Plaintiff)

Mary O'Rourke 1938 Sugarwood Circle Bellbrook, OH 45305 (Plaintiff)

Frances Hines 23 Westminster Avenue Roxbury, MA 02119 617-427-9988 (Plaintiff)

Joseph Buccier 2606 Park Drive Cleveland, OH 44130 (Plaintiff)

Lawrence Cross 47 Beaver Street Cooperstown, NY 13326 (Plaintiff)

Burnell Meeks 4926 Woodridge Dr., Apt. F Middletown, OH 45044 (Plaintiff)

Patrick Mann 512 SE Wingate Street Lee's Summit, MO 64063 (Plaintiff)

Sunil P. George 56 Kensington Ct Hempstead, NY 11550 516-485-6835 (Plaintiff)

Jerry Baker Auto Sales, LLC 600 Industrial Road Sedalia, MO 65301 (Plaintiff)

Tyson Markham 637 E. 72nd Terrace Kansas City, MO 64131 (Plaintiff)

David Hulsen 6641 Oak Street Kansas City, MO 64113 (Plaintiff)

Kai Shemsu 8533 Joshire Place Centerville, OH 45459 (Plaintiff)

James Peterschmidt TERMINATED: 09/25/2012 (Plaintiff) Kathy Kallenbach TERMINATED: 09/25/2012 (Plaintiff)

Bernadine Carter 137 Acklen Ave. Houma, LA 70363 (Plaintiff)

Elizabeth Hartman 139 King Street Houma, LA 70363 (Plaintiff)

Lavergne Short 505 Woodside Drive Houma, LA 70363 (Plaintiff)

Dylan Cruikshank TERMINATED: 04/23/2012 (Plaintiff)

Jeffrey K Berns Berns Weiss LLP 20700 Ventura Boulevard Suite 140 Woodland Hills, CA 91364 818-961-2000 818-999-1500 (fax) jberns@law111.com Assigned: 05/03/2010 ATTORNEY TO BE NOTICED representing Dale Baldisseri (Plaintiff)

Rebecca A Betts Betts Hardy and Rodgers PLLC P. O. Box 3394 Charleston, WV 25333-3394 304-345-7250 304-345-9941 (fax) rabetts@bhrwv.com Assigned: 04/19/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing West Virginia, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant)

J Randolph Bibb, Jr Lewis King Krieg & Waldrop PC 424 Church Street Suite 2500 Nashville, TN 37219-8615 615-259-1366 615-259-1389 (fax) rbibb@lewisking.com Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant)

Scott R. Bickford Martzell & Bickford 338 Lafayette St. New Orleans, LA 70130 504-581-9065 504-581-7635 FAX (fax) usdcmdla@mbfirm.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Roshawn Donahue (Plaintiff)

Andrea Bierstein Hanly Conroy Bierstein Sheridan Fisher & Hayes LLP 112 Madison Avenue 7th Floor New York, NY 10016 212-784-6403 212-213-5949 (fax) abierstein@hanlyconroy.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Chris Chan Park (Plaintiff) Donald Pritchett (Plaintiff) Mary Ann Parker (Plaintiff) Seong Bae Choi (Plaintiff) Un Jin Choi (Plaintiff) Sandra Reech TERMINATED: 03/23/2011 (Plaintiff) Brenda E. Burack (Plaintiff) Phillip R. King (Plaintiff) Stephen I. Burack (Plaintiff)

David C Biggs Steele and Biggs LLC 5664 South Green Street Salt Lake City, UT 84123 801-266-0999 801-266-1338 (fax) david@sjatty.com Assigned: 05/11/2011 ATTORNEY TO BE NOTICED representing Kyler Lloyd TERMINATED: 07/27/2011 (Plaintiff) Makenna Lloyd TERMINATED: 07/27/2011 (Plaintiff)

Rachel S Black Susman Godfrey LLP 1201 Third Avenue Suite 3800 Seattle, WA 98101 206-516-3899 206-516-3883 (fax) rblack@susmangodfrey.com Assigned: 08/26/2010 ATTORNEY TO BE NOTICED representing Meredith Heller (Plaintiff)

Garrett D Blanchfield, Jr Reinhardt Wendorf & Blanchfield E1250 First National Bank Building 332 Minnesota Street St Paul, MN 55101 651-287-2100 651-287-2103 (fax) g.blanchfield@rwblawfirm.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Mary Pat Hauck (Plaintiff)

Robert L Blank Rumberger Kirk & Caldwell PA 100 N Tampa Street Suite 2000 PO Box 3390 Tampa, FL 33601-3390 813-223-4253 ext: 7522 813-221-4752 (fax) rblank@rumberger.com Assigned: 11/17/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant)

Timothy G Blood Blood Hurst and O'Reardon LLP 701 B Street Suite 1700 San Diego, CA 92101 619-338-1100 619-338-1101 (fax) tblood@bholaw.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Dale Baldisseri (Plaintiff) Michael Houlf (Plaintiff)

Mark N Bodin McGlinchey Stafford PLLC 601 Poydras Street 12th Floor New Orleans, LA 70130 504-596-2826 504-596-2800 (fax) mbodin@mcglinchey.com Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) LeBlanc Automobiles Inc., L.L.C. TERMINATED: 10/27/2011 (Defendant) Toyota Motor Manufacturing, Indiana, Inc. (Defendant)

Gregory M Bokota Garan Lucow Miller PC 8401 Virginia Street Merrillville, IN 46410 219-756-7901 219-756-7902 (fax) gbokota@garanlucow.com Assigned: 12/05/2011 ATTORNEY TO BE NOTICED representing Wolverine Insurance Company (Intervenor)

Aldo Bolliger Bolliger Law Group PO Box 4589 Tampa, FL 33677 813 425 2824 813 425 2832 (fax) lroberts@mblawgroup.com Assigned: 11/17/2010 ATTORNEY TO BE NOTICED representing Jenny Devereaux (Plaintiff)

Michael Bonasso Flaherty Sensabaugh and Bonasso P. O. Box 3843 Charleston, WV 25338-3843 304-345-0200 304-345-0260 (fax) mbonasso@fsblaw.com Assigned: 07/09/2012 ATTORNEY TO BE NOTICED representing Denso International America, Inc., (Defendant)

Chaim B. Book Moskowitz Book & Walsh, LLP 345 Seventh Avenue 21st Floor New York, NY 10001 212-221-7999 212-398-8835 (fax) cbook@mbwllp.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Alex Farrugia (Plaintiff) Barbara Jackson (Plaintiff) Kevin P Fogarty (Plaintiff)

Bard D Borkon Bowman and Brooke LLP 150 South Fifth Street Suite 3000 Minneapolis, MN 55402 612-672-3241 612-672-3200 (fax) bard.borkon@bowmanandbrooke.com Assigned: 08/10/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant)

Larry P Boudreaux P O Box 650 Thibodeaux, LA 70302 985-447-9575 lba9575@bellsouth.net Assigned: 01/19/2011 ATTORNEY TO BE NOTICED representing Benjamin L Carriere (Plaintiff) Jennifer Rose Carriere (Plaintiff) Jordan M Carriere (Plaintiff)

Theodore J Boutrous, Jr Gibson Dunn and Crutcher LLP 333 South Grand Avenue 45th Floor Los Angeles, CA 90071-3197 213-229-7000 213-229-7520 (fax) tboutrous@gibsondunn.com Assigned: 06/28/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant)

Wilson C. Boveland Wilson C. Boveland, Attorney at Law 1739 St. Bernard Ave. New Orleans, LA 70116 504-931-6608 wboveland@yahoo.com Assigned: 08/10/2010 ATTORNEY TO BE NOTICED representing Claudia H. Taylor (Plaintiff) Shenita Walker (Plaintiff)

Jeffrey A. Bowersox Bowersox Law Firm P.C. 5285 Meadows Road Suite 320 Lake Oswego, OR 97035 (503) 452-5858 (503) 345-6893 (fax) jeffrey@bowersoxlaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Timothy John Vanagas (Plaintiff)

Michael A Bowse Browne George Ross LLP 2121 Avenue of the Stars Suite 2400 Los Angeles, CA 90067 310-274-7100 310-275-5697 (fax) mbowse@bgrfirm.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Grace Shigematsu (Plaintiff) Ronald Shigematsu (Plaintiff)

Stanley V. Boychuck Swanson, Martin & Bell 330 North Wabash Suite 3300 Chicago, IL 60611 (312) 321-9100 sboychuc@smbtrials.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Denso Manufacturing Tennessee Inc TERMINATED: 07/27/2010 (Defendant)

John M Boyko John M Boyko Law Offices 3521 Lomita Boulevard Suite 100 Torrance, CA 90505 310-750-6789 310-300-0263 (fax) jboyko@gmail.com Assigned: 04/26/2010 ATTORNEY TO BE NOTICED representing Deluxe Holdings, Inc. (Plaintiff)

Mark Howard Boyle Donohue Brown Mathewson & Smyth LLC 140 South Dearborn Street Suite 800 Chicago, IL 60603 312-422-0900 312-422-0909 (fax) mark.boyle@dbmslaw.com Assigned: 09/09/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant)

Brad J Brady BRADY & O'SHEA PC 2735 1ST AVE SE CEDAR RAPIDS, IA 52402 319 866 9277 866 9280 (fax) bbrady@bradyoshea.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Deanna Riley (Plaintiff) Jody Weigel (Plaintiff) Julie Beard (Plaintiff) Michael Riley (Plaintiff) Sean Beard (Plaintiff)

Turner W. Branch Branch Law Firm 2025 Rio Grande Blvd, NW Albuquerque, NM 87104 (505) 243-3500 243-8319 (fax) tbranch@branchlawfirm.com Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Michael Kenneth Hollis TERMINATED: 08/12/2010 (Plaintiff) Sandra P Hollis TERMINATED: 08/12/2010 (Plaintiff)

Derek Yeats Brandt Simmons Browder Gianaris Angelides and Barnerd LLC One Court Street Alton, IL 62002 618-259-2222 618-259-2251 (fax) dbrandt@simmonsfirm.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Chris Chan Park (Plaintiff) Donald Pritchett (Plaintiff) Mary Ann Parker (Plaintiff) Seong Bae Choi (Plaintiff) Un Jin Choi (Plaintiff) Sandra Reech TERMINATED: 03/23/2011 (Plaintiff) Brenda E. Burack (Plaintiff) Phillip R. King (Plaintiff) Stephen I. Burack (Plaintiff)

Thomas P. Branigan Bowman & Brooke (Troy) 50 W. Big Beaver Road Suite 600 Troy, MI 48084-5293 248-687-5300 thomas.branigan@bowmanandbrooke.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant)

Joseph J Braun Strauss and Troy 150 East Fourth Street Cincinnati, OH 45202-4018 513-621-2120 jjbraun@strausstroy.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Joel Grunkemeyer (Plaintiff) John Sukola (Plaintiff) Sharon Wilson (Plaintiff)

Mitchell M Breit Hanly Conroy Bierstein Sheridan Fisher & Hayes LLP 112 Madison Avenue 7th Floor New York, NY 10016 212-784-6422 212-213-5949 (fax) mbreit@hanlyconroy.com Assigned: 04/12/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Chris Chan Park (Plaintiff) Donald Pritchett (Plaintiff) Mary Ann Parker (Plaintiff) Seong Bae Choi (Plaintiff) Un Jin Choi (Plaintiff) Sandra Reech TERMINATED: 03/23/2011 (Plaintiff) Brenda E. Burack (Plaintiff) Phillip R. King (Plaintiff) Stephen I. Burack (Plaintiff) Titsa Pelzman (Plaintiff)

Timothy R Bricker Carpenter Lipps & Leland LLP 280 North High Street Suite 1300 Columbus, OH 43215 614-365-4100 614-365-9145 (fax) bricker@carpenterlipps.com Assigned: 05/17/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Classic Classics, LLC (Defendant) Toyota Motor Sales, U.S.A., Inc. (ThirdParty Plaintiff)

Russell S Briggs Fibich Hampton Leebron Briggs & Josephson 1150 Bissonnet Houston, TX 77005 713-751-0025 713-751-0030 (fax) rbriggs@fhl-law.com Assigned: 01/10/2011 ATTORNEY TO BE NOTICED representing Cordarro Guillory (Plaintiff) Jessie Guillory (Plaintiff)

Robert Michael Brill Law Offices of Robert M. Brill, LLC 880 Third Avenue 13th Floor New York, NY 10022 (212) 935-7900 212) 935-6524 (fax) Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Dr. Fred Sander (Plaintiff)

Edward A. Broderick The Law Office of Edward A. Broderick 727 Atlantic Avenue Second Floor Boston, MA 02111 617-738-7080 617-357-5030 (fax) ted@broderick-law.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Darshak Shah (Plaintiff)

Bruce J. Brothers Bruce J. Brothers & Associates 974 NW Riverside Boulevard P.O. Box 871 Bend, OR 97709 (541) 382-5885 (541) 382-3328 (fax) bjb@brotherslaw.com Assigned: 05/10/2010 ATTORNEY TO BE NOTICED representing Ronald Fahey (Plaintiff)

Michael Kevin Brown Reed Smith LLP 355 South Grand Avenue Suite 2900 Los Angeles, CA 90071-1514 213-457-8000 213-457-8080 (fax) mkbrown@reedsmith.com Assigned: 12/24/2012 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota North America, Inc. (Defendant)

Ann E Brown-Graff Brady & O'Shea PC 2735 First Avenue SE Cedar Rapids, IA 52402 319-866-9277 319-866-9280 (fax) abrown-graff@bradyoshea.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Deanna Riley (Plaintiff) Jody Weigel (Plaintiff) Julie Beard (Plaintiff) Michael Riley (Plaintiff) Sean Beard (Plaintiff)

Curtis N Bruehl 435 N Walker Ave Suite 103 Oklahoma City, OK 73102 405-606-7988 405-606-7029 (fax) curtbrue@gmail.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Dru Colin Lee (Plaintiff)

Robert A Brundage Bingham McCutchen LLP Three Embarcardero Center San Francisco, CA 94111-4067 415-393-2134 415-393-2286 (fax) robert.brundage@bingham.com Assigned: 05/23/2012 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Sales, U.S.A., Inc. (ThirdParty Plaintiff)

Aaron J. Bryant The Bryant Law Group 150 N. Michigan Ave. Suite 800 Chicago, IL 60601 (312) 588-3384 abryant@blgchicago.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Christina Ochs (Plaintiff)

Ronald Lee Burdge Burdge Law Office 2299 Miamisburg-Centerville Road Dayton, OH 45459-3817 937-432-9500 937-432-9503 (fax) ron@ohiolemonlaw.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Joseph Buccier 2606 Park Drive Cleveland, OH 44130 (Plaintiff)

Burnell Meeks 4926 Woodridge Dr., Apt. F Middletown, OH 45044 (Plaintiff)

Ronald Lee Burdge Burdge Law Office 2299 Miamisburg-Centerville Road Dayton, OH 45459-3817 937-432-9500 937-432-9503 (fax) ron@ohiolemonlaw.com Assigned: 10/13/2010 ATTORNEY TO BE NOTICED representing Bureau Chief Laura Green (Plaintiff) Aaron Green (Plaintiff) Jim O'Rourke (Plaintiff)

Jeremy Beale 1411 Allanwood Lane Dayton, OH 45432 (Plaintiff)

Kristina Beale 1411 Allanwood Lane Dayton, OH 45432 (Plaintiff)

Mary O'Rourke 1938 Sugarwood Circle Bellbrook, OH 45305 (Plaintiff)

Kai Shemsu 8533 Joshire Place Centerville, OH 45459 (Plaintiff)

Grace Jackson TERMINATED: 08/26/2011 (Plaintiff) Marvin Jackson TERMINATED: 08/26/2011 (Plaintiff)

Michael S. Burg Burg, Simpson, Eldredge, Hersh & Jardine, PC-Englewood 40 Inverness Drive East Englewood, CO 80112-2866 303-792-5595 303-708-0527 (fax) mburg@burgsimpson.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Ryan Scharrel TERMINATED: 06/29/2010 (Plaintiff)

Kevin B Burgess Hamilton Burgess Young & Pollard PLLC PO Box 959 Fayetteville, WV 25840-0959 304-574-2727 kburgess@hamiltonburgess.com Assigned: 03/03/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Charles E. Pittman (Plaintiff) Lana K. Pittman (Plaintiff)

Christopher M Burke Scott & Scott LLP 6424 Santa Monica Boulevard Los Angeles, CA 90038 213-985-1274 213-985-1278 (fax) cburke@scott-scott.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Gary Brown (Plaintiff)

Erin C Burns Roda Nast PC 801 Estelle Drive Lancaster, PA 17601 717-892-3000 eburns@rodanast.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Diane Gumble (Plaintiff) Ted M. Wedul (Plaintiff)

William F. Burns, Jr. Giordano, Gordon & Burns, PLLC 319 S. Sharon Amity Road Suite 230 Charlotte, NC 28211 704-364-3558 704-365-3696 (fax) wb@ggandblaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Patricia Grier (Plaintiff)

Elaine T Byszewski Hagens Berman Sobol Shapiro LLP 301 North Lake Avenue Suite 203 Pasadena, CA 91101 213-330-7150 213-330-7152 (fax) elaine@hbsslaw.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Ebony Brown (Plaintiff) Elizabeth Van Zyl (Plaintiff) Gary Davis (Plaintiff) Rodney Josephson (Plaintiff) Charles Henry (Plaintiff) Charmayne Bennett (Plaintiff) Ira Savoy (Plaintiff) Judy Veitz (Plaintiff) Vuin Edward Epps (Plaintiff) Ziva Goldstein (Plaintiff) Ada Morales TERMINATED: 01/30/2012 (Plaintiff) Carol Danziger TERMINATED: 03/22/2012 (Plaintiff) Kathleen Atwater (Plaintiff)

WILLIAM FRANKLIN CASH, III LEVIN PAPANTONIO THOMAS ETC PA - PENSACOLA FL 316 S BAYLEN ST STE 600 PENSACOLA, FL 32502 850-435-7059 850-535-7020 (fax) bcash@levinlaw.com Assigned: 05/07/2010 representing Justin K Johnson TERMINATED: 08/18/2010 (Plaintiff)

Elizabeth Joan Cabraser Lieff Cabraser Heimann and Bernstein LLP Embarcadero Center West 275 Battery Street 29th Floor San Francisco, CA 94111-3339 415-956-1000 415-956-1008 (fax) ecabraser@lchb.com Assigned: 04/12/2010 ATTORNEY TO BE NOTICED representing Jacquelyn Donoghue (Plaintiff) Jacquelyn Myers (Plaintiff) Sandra Livingston (Plaintiff) Teresa B. Myers TERMINATED: 06/11/2010 (Plaintiff) William C. Myers TERMINATED: 06/11/2010 (Plaintiff) Lorrie Krieger TERMINATED: 09/28/2010 (Plaintiff) Andrew Flury (Plaintiff) David Hanna (Plaintiff) Donna Hanna (Plaintiff) Harry Williams (Plaintiff) Jill Bond (Plaintiff) Joel Bond (Plaintiff) Joseph Christian (Plaintiff) Kirk Crank (Plaintiff) Mary Jo Crank (Plaintiff) Tetyana Flury (Plaintiff) Robert Booher TERMINATED: 06/30/2010 (Plaintiff)

Jerome Cangelosi TERMINATED: 09/28/2010 (Plaintiff) Lori Cangelosi TERMINATED: 09/28/2010 (Plaintiff) Judy Warren TERMINATED: 10/01/2010 (Plaintiff) Omar Roberts (Plaintiff) Brian Barlow TERMINATED: 01/28/2011 (Plaintiff) Hae Chang (Plaintiff) Camille McCormick TERMINATED: 07/02/2010 (Plaintiff) Anita Jorge TERMINATED: 11/15/2011 (Plaintiff) Carol Hatzman TERMINATED: 09/28/2010 (Plaintiff) Dwayne Watkins, Jr. (Plaintiff) Eduardo Recinos (Plaintiff) Rosario Garcia (Plaintiff) Deborah Mayton (Plaintiff) Thomas Mayton (Plaintiff) Demetrice Bibbins (Plaintiff) Paul Spisto (Plaintiff) Geraldine Haddad (Plaintiff) Judy Barzare (Plaintiff) Michael Barzare (Plaintiff) Carlos Espino TERMINATED: 11/21/2011 (Plaintiff) Howard Sportsman (Plaintiff) Margaret Bocskor (Plaintiff) Margaret Daly (Plaintiff) Margaret Sportsman (Plaintiff) Michael Daly (Plaintiff) William Givens, II (Plaintiff) Thelma Sue Jude (Plaintiff) Ida Starr St John (Plaintiff) Walter Scott Tarter (Plaintiff) Larissa Parker (Plaintiff) Dennis Sowders (Plaintiff) Margaret Sowders (Plaintiff) Alvarez-Perez Conjugal Partnership (Plaintiff) Ananda (Plaintiff) Auto Lenders Liquidation Center, Inc. (Plaintiff) Bureau Chief Laura Green (Plaintiff) Deluxe Holdings, Inc. (Plaintiff) Aaron Austin (Plaintiff) Adam Aleszczyk (Plaintiff) Adilia Aviles (Plaintiff) Albert Bosse (Plaintiff) Alex Farrugia (Plaintiff) Alfredo Hernandez Barranco (Plaintiff) Aneste Edmond (Plaintiff) Angela Boles (Plaintiff) Ann Cavalier (Plaintiff) Anthony Bonacci (Plaintiff) Anthony Crespo (Plaintiff) Arlene Caylor (Plaintiff) Benjamin L Carriere (Plaintiff) Brenda Bishop (Plaintiff) Brenda E. Burack (Plaintiff) Brian Deis (Plaintiff) Bridie Doino (Plaintiff) Burton Field (Plaintiff) CESARE COSLOP, IV (Plaintiff) Cameron Van Alfen (Plaintiff) Carolyn Boudoin (Plaintiff) Casey Van Alfen (Plaintiff) Catherine De Bruin (Plaintiff) Catherine Donohue (Plaintiff) Cathy Cisetti (Plaintiff) Charmayne Bennett (Plaintiff) Cheryl Abken (Plaintiff) Christine Aznavour (Plaintiff) Christine Carr (Plaintiff) Christopher Carlson (Plaintiff) Cindy L. Bencsik (Plaintiff) Claude Benoit (Plaintiff) Clayton Q Aukland (Plaintiff) Dale Baldisseri (Plaintiff) Dana Clark (Plaintiff) Daniel Boudreault (Plaintiff) Daniel Durgin (Plaintiff) David Beardsley (Plaintiff) David Caylor (Plaintiff) Dawn De Vincenzi (Plaintiff) Deborah Baumkel (Plaintiff) Demetra Christopher (Plaintiff) Deshawna Carter (Plaintiff) Donna B. Bellony (Plaintiff) Donna Cramer (Plaintiff) Dora Argueta (Plaintiff) E. Brandon Bowron (Plaintiff) Ebony Brown (Plaintiff) Elaine Byrnes (Plaintiff) Elen Edilyan (Plaintiff) Elie Cezaire (Plaintiff) Elza Dzhivalegyan (Plaintiff) Emebet Bekele (Plaintiff) Enoc Desroches (Plaintiff) Ernest Cornell (Plaintiff) Ernesto Reyes Diaz (Plaintiff) Etienne Eva (Plaintiff) Francis Joseph Coronel (Plaintiff) Gary T Brock (Plaintiff) Gary Brown (Plaintiff) Gary Davis (Plaintiff) Gayle R Barrett (Plaintiff) Gene Peay Darrah (Plaintiff) Germain Dazile (Plaintiff) Ghislaine Bernard (Plaintiff) Gladys Appolon (Plaintiff) Glaneuse Baptiste (Plaintiff) Gulaine Dorsainvil (Plaintiff) H. W. Fanning (Plaintiff) Hal Farrington (Plaintiff) Hilda Carro-Hernandez (Plaintiff) Holly Boyd (Plaintiff) Hugh W Cox (Plaintiff) Ira Lee Dadisman (Plaintiff) JON J. DARCY (Plaintiff) James Michael Bell (Plaintiff) Jan Bowling (Plaintiff) Jane Saint Drake (Plaintiff) Janet K. Black (Plaintiff) Janice Feaster (Plaintiff) Jay Brandt (Plaintiff) Jean Achille (Plaintiff) Jean Dominguez (Plaintiff) Jeanne Epstein (Plaintiff) Jennifer Wendy Burke (Plaintiff) Jennifer Rose Carriere (Plaintiff) Jenny Devereaux (Plaintiff) Jerry A Borbon (Plaintiff) Jimmy Laine Belotte (Plaintiff) Joel Barker (Plaintiff) Jordan M Carriere (Plaintiff) Joseph A Cadet (Plaintiff) Joseph Chant (Plaintiff) Joyce Ann Atnip (Plaintiff) Jude Anheluk (Plaintiff) Judith M Enderle (Plaintiff) Julie Beard (Plaintiff) Karen Bickel (Plaintiff) Karen S. Crozier (Plaintiff) Karina Brazdys (Plaintiff) Kathleen Allen (Plaintiff) Kathleen Atwater (Plaintiff) Kathy Boyask (Plaintiff) Kelley W. Dion (Plaintiff) Krystal Eggerding (Plaintiff) Kyle Briggs (Plaintiff) Larry Boudoin (Plaintiff) Latasha Burge (Plaintiff) Laurie Chambers (Plaintiff) Linda Jean Charles (Plaintiff) Lucero Davidson (Plaintiff) Lucy Barker (Plaintiff) Ludger Charles (Plaintiff) Lufrance Elien (Plaintiff) Luis Alvarez-Cabrera (Plaintiff) Luis Fernandez (Plaintiff) Lydia Ellison (Plaintiff) Lynda Bisseger (Plaintiff) MICHAEL DUBE (Plaintiff) MIN CHUN (Plaintiff) Mandy Dacosta Pierre (Plaintiff) Maria Cisneros (Plaintiff) Marie DuBois (Plaintiff) Marie Elisee (Plaintiff) Mario Elisee (Plaintiff) Mark Adkinson (Plaintiff) Mark Davidson (Plaintiff) Mary Ferrara (Plaintiff) Maureen Colaberdino (Plaintiff) Melanie Berlieb (Plaintiff) Melanie Bonacci (Plaintiff) Miguel E. Cordero (Plaintiff) Mindy A. Corrigan (Plaintiff) Mirna Argueta (Plaintiff) Mona Cayemille (Plaintiff) Monde Chery (Plaintiff) Mostfa Fahmy (Plaintiff) NANCY BOEHM (Plaintiff) Nancy L. Boppre (Plaintiff) Pamela M Cox (Plaintiff) Paul Anthony Banton (Plaintiff) Paulga Ferdinard (Plaintiff) Philip James Darrah (Plaintiff) REGINA H. DARCY (Plaintiff) Rebecca Clifton (Plaintiff) Renita Cipriani (Plaintiff) Rich Bowling (Plaintiff) Richard Benjamin (Plaintiff) Robert Elmes (Plaintiff) Rocco Doino (Plaintiff) Romanus Akamike (Plaintiff) Ron Ellis (Plaintiff) Ronald Fahey (Plaintiff) Rosalina Diaz (Plaintiff) Rose M Augustine (Plaintiff) Roshawn Donahue (Plaintiff) S. Firgon (Plaintiff) Samuel Calixte (Plaintiff) Sandy Carmichael (Plaintiff) Sean Beard (Plaintiff) Seong Bae Choi (Plaintiff) Serge Derival (Plaintiff) Sharlene Cohen-Goldberg (Plaintiff) Sheydalis Casul-De Jesus (Plaintiff) Shirlene Van Alfen (Plaintiff) Stefanie Bradley (Plaintiff) Stefanie Cece (Plaintiff) Stephanie Cedillo (Plaintiff) Stephen I. Burack (Plaintiff) Steve Clemons (Plaintiff) Steven Boughner (Plaintiff) Susan Chambers (Plaintiff) Suzette L. Farrelly (Plaintiff) Svetlana Abajyan (Plaintiff) Sylvia Fernandez (Plaintiff) T Leigh Beard (Plaintiff) Tatiana Alvarez-Perez (Plaintiff) Thomas Davis (Plaintiff) Thomas Downey Sr (Plaintiff) Timothy P. Farrelly (Plaintiff) Todd Allen (Plaintiff) Travis Van Alfen (Plaintiff) Un Jin Choi (Plaintiff) Vanessa Bozeman (Plaintiff) Veronica Anderson (Plaintiff) Vuin Edward Epps (Plaintiff) Walt Crigler (Plaintiff) Wanda Bosse (Plaintiff) Weller W. Douglas (Plaintiff) Yva Audelin (Plaintiff) Zahira Crespo-Bithorn (Plaintiff) Zhijie Deng (Plaintiff) Carol Danziger TERMINATED: 03/22/2012 (Plaintiff) Jeremy Beale 1411 Allanwood Lane Dayton, OH 45432 (Plaintiff)

Kristina Beale 1411 Allanwood Lane Dayton, OH 45432 (Plaintiff) Joseph Buccier 2606 Park Drive Cleveland, OH 44130 (Plaintiff)

Lawrence Cross 47 Beaver Street Cooperstown, NY 13326 (Plaintiff) Bernadine Carter 137 Acklen Ave. Houma, LA 70363 (Plaintiff) Dylan Cruikshank TERMINATED: 04/23/2012 (Plaintiff) Cathy Whitaker (Plaintiff) Linda Cline (Plaintiff) Dorothy Fisher Weed (Plaintiff) Perry Lewis Weed (Plaintiff)

Karen M Cadieux Carpenter Lipps & Leland LLP 280 North High Street Suite 1300 Columbus, OH 43215 614-365-4100 614-365-9145 (fax) cadieux@carpenterlipps.com Assigned: 05/17/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor North America, Inc. (Defendant)

Kevin Frank Calcagnie Robinson Calcagnie Robinson Shapiro Davis, Inc. 19 Corporate Plaza Drive Newport Beach, CA 92660 949-720-1288 949-720-1292 (fax) kcalcagnie@rcrlaw.net Assigned: 08/04/2010 ATTORNEY TO BE NOTICED representing Raliegh Scott (Plaintiff) Saundra Hill Scott (Plaintiff) David Beardsley (Plaintiff) Lynda Bisseger (Plaintiff) Christine Fogh (Plaintiff) Stephanie Cedillo (Plaintiff) Janice Feaster (Plaintiff) Cameron Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Casey Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Charley Alton Jones TERMINATED: 10/06/2011 (Plaintiff) Makenna Lloyd TERMINATED: 10/06/2011 (Plaintiff) Mark Roundy TERMINATED: 10/06/2011 (Plaintiff) Sandra Jolene Jones TERMINATED: 10/06/2011 (Plaintiff) Shirlene Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Travis Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Joseph R Graybeal (Plaintiff) Patricia B Graybeal (Plaintiff) Cameron Van Alfen (Plaintiff) Casey Van Alfen (Plaintiff) Charley Alton Jones (Plaintiff) Jolene Jones (Plaintiff) Makenna Lloyd (Plaintiff) Mark Roundy (Plaintiff) Shirlene Van Alfen (Plaintiff) Travis Van Alfen (Plaintiff) Behrouz Benyaminpour TERMINATED: 09/11/2012 (Plaintiff) Halen Kerendian TERMINATED: 09/11/2012 (Plaintiff)

Alexander G Calfo Yukevich Calfo and Cavanaugh 355 South Grand Avenue 15th Floor Los Angeles, CA 90071-1560 213-362-7777 213-362-7788 (fax) acalfo@yukelaw.com Assigned: 11/29/2010 ATTORNEY TO BE NOTICED representing DENSCO International America (Defendant) Denso Corporation (Interested Party) Roberto A. Camara-Fuertes Fiddler, Gonzalez & Rodriguez PO Box 363507 San Juan, PR 00936-3507 787-759-3220 787-250-7545 (fax) rcamara@fgrlaw.com Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Toyota de Puerto Rico Corp. (Defendant) Peter J Cambs Parker Waichman Alonso LLP 3301 Bonita Beach Road Bonita Springs, FL 34134 239-390-8602 239-390-0055 (fax) pcambs@yourlawyer.com Assigned: 04/15/2010 TERMINATED: 05/04/2010 representing Lisa Creighton TERMINATED: 05/04/2010 (Plaintiff) Miriam Ramirez TERMINATED: 05/04/2010 (Plaintiff) Peter Phaneuf (Plaintiff) Bureau Chief Laura Green (Plaintiff) Deluxe Holdings, Inc. (Plaintiff) G&M Motors, Inc. (Plaintiff) Green Spot Motors Co (Plaintiff) Honorable Paul Turner (Plaintiff) LaRocca's Auto Sales, Inc. (Plaintiff) SPP Inc (Plaintiff) Similarly Situated John and Jane Does (Plaintiff) Susan Rifken Ltd (Plaintiff) Aaron Austin (Plaintiff) Aaron Green (Plaintiff) Aaron Jones (Plaintiff) Ada Roldan-Soto (Plaintiff) Adilia Aviles (Plaintiff) Akop Galadzhyan (Plaintiff) Albert A. Pena, III (Plaintiff) Alex Farrugia (Plaintiff) Alfred Shepard (Plaintiff) Allan L Weller (Plaintiff) Allie R Rockforte (Plaintiff) Alyson L. Oliver (Plaintiff) Amanda Laird (Plaintiff) Amanda R Maillho (Plaintiff) Amanda J. Noble (Plaintiff) Amy Smith Roth (Plaintiff) Andrew Flury (Plaintiff) Angela Boles (Plaintiff) Ani Gazaryan (Plaintiff) Ann Cavalier (Plaintiff) Anthony Bonacci (Plaintiff) Anthony Crespo (Plaintiff) Anthony Georges-Pierre (Plaintiff) Anthony M. Georges-Pierre (Plaintiff) Antonio Ramos (Plaintiff) Aristin Joseph (Plaintiff) Arlene S. Heilbrunn (Plaintiff) Aza Srourian (Plaintiff) BEVERLY MORGAN (Plaintiff) Barbara Iglesias (Plaintiff) Barbara Jackson (Plaintiff) Belva Simmons (Plaintiff) Benjamin Hughes (Plaintiff) Bernadine Shepard (Plaintiff) Bertam Srourian (Plaintiff) Betty Tomlin (Plaintiff) Beverly Ifergan (Plaintiff) Beverly Ann Martell (Plaintiff) Beverly Yip (Plaintiff) Bonnie Shansky (Plaintiff) Brenda Bishop (Plaintiff) Brenda E. Burack (Plaintiff) Brenda Shonfield (Plaintiff) Brenda A Whaley (Plaintiff) Brian Deis (Plaintiff) Bridgette Scott (Plaintiff) Bryon Hawes (Plaintiff) Burton Field (Plaintiff) CESARE COSLOP, IV (Plaintiff) CULLEN KIRKPATRICK (Plaintiff) Carol Ann Henderson (Plaintiff) Carole Fisher (Plaintiff) Carole R. Young (Plaintiff) Carolyn Boudoin (Plaintiff) Carolyn C Wachtel (Plaintiff) Catherine Lebson (Plaintiff) Catherine Nguyen (Plaintiff) Cathy Cisetti (Plaintiff) Cathy Miller (Plaintiff) Charlene Tran (Plaintiff) Charles E. Pittman (Plaintiff) Charles Saba (Plaintiff) Charles Turner (Plaintiff) Cheryl Abken (Plaintiff) Chris Chan Park (Plaintiff) Christina Ochs (Plaintiff) Christine Aznavour (Plaintiff) Christine Carr (Plaintiff) Christine Hotaling (Plaintiff) Christine Mitchell (Plaintiff) Christine Schara (Plaintiff) Christopher Carlson (Plaintiff) Christopher L. Leaverton (Plaintiff) Cindy L. Bencsik (Plaintiff) Claudia H. Taylor (Plaintiff) Clayton Q Aukland (Plaintiff) Colby Wenck (Plaintiff) Connie Kamphaus (Plaintiff) Curtis McCleskey (Plaintiff) Cynthia M. Parker (Plaintiff) DEISY F TOLEDO (Plaintiff) DIANE SCHLOSBERG (Plaintiff) Dale Baldisseri (Plaintiff) Dale Karjala (Plaintiff) Dale Roberts (Plaintiff) Dana Clark (Plaintiff) Dana Clark Weller (Plaintiff) Daniel Boudreault (Plaintiff) Daniel Durgin (Plaintiff) Daniel Hamilton (Plaintiff) Daniel D Lee (Plaintiff) Daniel Weimer, Jr. (Plaintiff) Darrell P. 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Boppre (Plaintiff) Ned Sachs (Plaintiff) Nellie Yazitchyan (Plaintiff) Nerses Mazmanyan (Plaintiff) Omar Alexander Montes (Plaintiff) Omar Roberts (Plaintiff) Orusmond Florestal (Plaintiff) Pamela M Cox (Plaintiff) Pamela Frederickson (Plaintiff) Patel Nimishabahen (Plaintiff) Patricia Grier (Plaintiff) Patricia Schreckengost (Plaintiff) Patrick Kwiatkowski (Plaintiff) Paul Richard Knighton (Plaintiff) Paul Rosenfeld (Plaintiff) Paul V. Kilpatrick, III (Plaintiff) Paula Flynn Simmons (Plaintiff) Peter Wisner (Plaintiff) Philip James Darrah (Plaintiff) Phillip R. King (Plaintiff) Phyllis C. Lieberman (Plaintiff) REGINA H. DARCY (Plaintiff) Raliegh Scott (Plaintiff) Ramon Ojeda-Rivera (Plaintiff) Rebecca Clifton (Plaintiff) Rebecca S. 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Firgon (Plaintiff) Saintil Petit Frere (Plaintiff) Sam Goldberger (Plaintiff) Sandra Livingston (Plaintiff) Sandra Valdez (Plaintiff) Sandy Carmichael (Plaintiff) Sasha Nizgoda (Plaintiff) Saundra Hill Scott (Plaintiff) Sean Beard (Plaintiff) Selena Michelle Hines-Muhammad (Plaintiff) Seong Bae Choi (Plaintiff) Serge Derival (Plaintiff) Shalini Ignatenkov (Plaintiff) Sharlene Cohen-Goldberg (Plaintiff) Sharon Wilson (Plaintiff) Sharrolyn Jimerson (Plaintiff) Shawnee W. Scharer (Plaintiff) Sheldon Kogen (Plaintiff) Shenita Walker (Plaintiff) Sheydalis Casul-De Jesus (Plaintiff) Solomon Harbor (Plaintiff) Sonya Gray (Plaintiff) Stefanie Bradley (Plaintiff) Stefanie Cece (Plaintiff) Stephen I. Burack (Plaintiff) Steve Clemons (Plaintiff) Steven Boughner (Plaintiff) Steven Slocum (Plaintiff) Stuart Plush (Plaintiff) Suzette L. Farrelly (Plaintiff) Suzzane McCoy (Plaintiff) Svetlana Abajyan (Plaintiff) Sylvia Fernandez (Plaintiff) Sylvia Gausch (Plaintiff) Sylvia Pena (Plaintiff) Syzana Xhakli (Plaintiff) T Leigh Beard (Plaintiff) Tahiry Ramos (Plaintiff) Tamara Harutyunyan (Plaintiff) Tanya Ross (Plaintiff) Ted M. Wedul (Plaintiff) Terasita Ramos (Plaintiff) Tetyana Flury (Plaintiff) Thelma Reid (Plaintiff) Thomas Davis (Plaintiff) Thomas Downey Sr (Plaintiff) Thomas E. Gudmundson (Plaintiff) Thomas A Trahan (Plaintiff) Thomas Lee Wachtel, MD (Plaintiff) Tiffany Jones (Plaintiff) Timothy P. Farrelly (Plaintiff) Timothy Helmick (Plaintiff) Timothy John Vanagas (Plaintiff) Tina Preedom (Plaintiff) Tom Kunce (Plaintiff) Troy Menssen (Plaintiff) Un Jin Choi (Plaintiff) Veronica Troup (Plaintiff) Vilsaint Georges (Plaintiff) Virginia Lawson (Plaintiff) Viviane Stoller (Plaintiff) Walter McKinney (Plaintiff) Wanda M. Lee (Plaintiff) Wayne S. Harris (Plaintiff) Wayne Schlegel (Plaintiff) Wayne Tomlin (Plaintiff) Weller W. Douglas (Plaintiff) Willette Green (Plaintiff) William R. Lawson (Plaintiff) William Simmons (Plaintiff) Willy Saint Hilaire (Plaintiff) Wilma Lentz (Plaintiff) Yonet Gardiner (Plaintiff) Zahira Crespo-Bithorn (Plaintiff) Michael Choi TERMINATED: 04/19/2010 (Plaintiff) Alexsandra Del Real TERMINATED: 05/04/2010 (Plaintiff) Jessica M. Kramer TERMINATED: 05/04/2010 (Plaintiff) Lu Li TERMINATED: 05/04/2010 (Plaintiff) Teresa B. Myers TERMINATED: 06/11/2010 (Plaintiff) William C. Myers TERMINATED: 06/11/2010 (Plaintiff) Pazir Mohammad and Nahyatt Mohammad TERMINATED: 06/24/2010 (Plaintiff) Daniel Murtha TERMINATED: 06/28/2010 (Plaintiff) Nancy Murtha TERMINATED: 06/28/2010 (Plaintiff) Carol Gureski TERMINATED: 06/29/2010 (Plaintiff) Don Gureski TERMINATED: 06/29/2010 (Plaintiff) Enrique Moreno TERMINATED: 06/29/2010 (Plaintiff) Roy Nelson TERMINATED: 06/29/2010 (Plaintiff) Ryan Scharrel TERMINATED: 06/29/2010 (Plaintiff) Susan Kruschke TERMINATED: 06/29/2010 (Plaintiff) Robert Booher TERMINATED: 06/30/2010 (Plaintiff) Camille McCormick TERMINATED: 07/02/2010 (Plaintiff) Michael Kenneth Hollis TERMINATED: 08/12/2010 (Plaintiff) Sandra P Hollis TERMINATED: 08/12/2010 (Plaintiff) Justin K Johnson TERMINATED: 08/18/2010 (Plaintiff) James Schreckengost Sr TERMINATED: 09/24/2010 (Plaintiff) Patricia Schreckengost TERMINATED: 09/24/2010 (Plaintiff) Carol Hatzman TERMINATED: 09/28/2010 (Plaintiff) Jerome Cangelosi TERMINATED: 09/28/2010 (Plaintiff) Lori Cangelosi TERMINATED: 09/28/2010 (Plaintiff) Lorrie Krieger TERMINATED: 09/28/2010 (Plaintiff) Diane Devlin TERMINATED: 10/01/2010 (Plaintiff) Judy Warren TERMINATED: 10/01/2010 (Plaintiff) Wilma Larue Lauderdale and James Lauderdale TERMINATED: 10/08/2010 (Plaintiff) Barry C. Broden TERMINATED: 10/12/2010 (Plaintiff) Ellyn J. Broden TERMINATED: 10/12/2010 (Plaintiff) Jasbir Grewal TERMINATED: 12/08/2010 (Plaintiff) Lucy Miller TERMINATED: 12/09/2010 (Plaintiff) Jacqueline West TERMINATED: 12/10/2010 (Plaintiff) Brian Barlow TERMINATED: 01/28/2011 (Plaintiff) John Jeremy Robson TERMINATED: 01/31/2011 (Plaintiff) Charles Gibbens TERMINATED: 03/23/2011 (Plaintiff) Karen Gibbens TERMINATED: 03/23/2011 (Plaintiff) Sandra Reech TERMINATED: 03/23/2011 (Plaintiff) Al Viviano TERMINATED: 03/31/2011 (Plaintiff) Jo Anna Viviano TERMINATED: 03/31/2011 (Plaintiff) Thomas Kamphaus TERMINATED: 03/31/2011 (Plaintiff) Ann Keller TERMINATED: 04/05/2011 (Plaintiff) Kimberley Keller TERMINATED: 04/05/2011 (Plaintiff) Robert W. Keller TERMINATED: 04/05/2011 (Plaintiff) Suzanne L. Keller TERMINATED: 04/05/2011 (Plaintiff) Suzanne Riegel Breit TERMINATED: 04/22/2011 (Plaintiff) Doug V. Goodwin TERMINATED: 06/22/2011 (Plaintiff) Amelia A. Welch TERMINATED: 10/27/2011 (Plaintiff) Carolina Salvador TERMINATED: 10/27/2011 (Plaintiff) Edgardo Soliman TERMINATED: 10/27/2011 (Plaintiff) Harold D. Messinger TERMINATED: 10/27/2011 (Plaintiff) Jeffrey G. Messinger TERMINATED: 10/27/2011 (Plaintiff) Lucille Fox TERMINATED: 10/27/2011 (Plaintiff) Mack Sims TERMINATED: 10/27/2011 (Plaintiff) Nancy Leach Rookard TERMINATED: 10/27/2011 (Plaintiff) Wilma Herrera TERMINATED: 10/27/2011 (Plaintiff) Anita Jorge TERMINATED: 11/15/2011 (Plaintiff) John Flook TERMINATED: 01/30/2012 (Plaintiff) Michael Tomaszewski TERMINATED: 05/21/2012 (Plaintiff) James Peterschmidt TERMINATED: 09/25/2012 (Plaintiff) Kathy Kallenbach TERMINATED: 09/25/2012 (Plaintiff) Hope Willard Tabor City, NC (Plaintiff) MITCHELL P. GEDID 921 Mclaughlin Run Road Bridgeville, PA 15017 (412) 758-7599 (Plaintiff) K. R. 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) Denese Rhooms 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) Dwayne Rhooms 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) Jeremy Beale 1411 Allanwood Lane Dayton, OH 45432 (Plaintiff) Kristina Beale 1411 Allanwood Lane Dayton, OH 45432 (Plaintiff) Mary O'Rourke 1938 Sugarwood Circle Bellbrook, OH 45305 (Plaintiff) Joseph Buccier 2606 Park Drive Cleveland, OH 44130 (Plaintiff) Burnell Meeks 4926 Woodridge Dr., Apt. F Middletown, OH 45044 (Plaintiff) Patrick Mann 512 SE Wingate Street Lee's Summit, MO 64063 (Plaintiff) Sunil P. George 56 Kensington Ct Hempstead, NY 11550 516-485-6835 (Plaintiff) Jerry Baker Auto Sales, LLC 600 Industrial Road Sedalia, MO 65301 (Plaintiff) Tyson Markham 637 E. 72nd Terrace Kansas City, MO 64131 (Plaintiff) David Hulsen 6641 Oak Street Kansas City, MO 64113 (Plaintiff) Kai Shemsu 8533 Joshire Place Centerville, OH 45459 (Plaintiff) Robert Ruf TERMINATED: 04/19/2012 (Plaintiff) Dylan Cruikshank TERMINATED: 04/23/2012 (Plaintiff) James M. Campbell Campbell, Campbell, Edwards & Conroy, PC One Constitution Plaza Boston, MA 02129 617-241-3000 617-241-5115 (fax) jmcampbell@campbell-trial-lawyers.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Kenneth S. Canfield Doffermyre, Shields, Canfield & Knowles, LLC 1355 Peachtree Street Atlanta, GA 30309 404-881-8900 404-881-3007 (fax) kcanfield@dsckd.com Assigned: 05/13/2010 ATTORNEY TO BE NOTICED representing Betty Tomlin (Plaintiff) Cathy Miller (Plaintiff) Edward Skillman (Plaintiff) Joan Skillman (Plaintiff) Michael Miller (Plaintiff) Patrick Kwiatkowski (Plaintiff) Sonya Gray (Plaintiff) Steve Clemons (Plaintiff) Wayne Tomlin (Plaintiff) Bryan L. Capps The Adams Law Firm 101 Sherlake Lane Suite 101 Knoxville, TN 37922 bcapps@terryadamslaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Jonathan Scillian (Plaintiff) Joyce Ann Atnip (Plaintiff) Lesley Scillian (Plaintiff) James T Capretz Capretz and Associates West Tower 5000 Birch Street Suite 2500 Newport Beach, CA 92660-2139 949-724-3000 949-757-2635 (fax) JCapretz@Capretz.com Assigned: 05/05/2010 ATTORNEY TO BE NOTICED representing Kelley W. Dion (Plaintiff) Kelly Maria Carbetta Scandy Montgomery, Rennie & Johnson - 1 36 East Seventh Street Suite 2100 Cincinnati, OH 45202 513-241-4722 kscandy@mrjlaw.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Yesenia E Cardenas-Colenso Bowman and Brooke LLP 2501 North Harwood Street Suite 1700 Dallas, TX 75201 972-616-1700 972-616-1701 (fax) yesenia.cardenas@bowmanandbrooke.com Assigned: 09/09/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Robert B Carey Hagens Berman Sobol Shapiro LLP 11 West Jefferson Street, Suite 1000 Phoenix, AZ 85003 602-840-5900 602-840-3012 (fax) rob@hbsslaw.com Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Christine Hotaling (Plaintiff) Donald Graham (Plaintiff) Ebony Brown (Plaintiff) Elizabeth Van Zyl (Plaintiff) Gary Davis (Plaintiff) Linda Summerville (Plaintiff) Robert Navarro (Plaintiff) Rodney Josephson (Plaintiff) Thomas E. Gudmundson (Plaintiff) John Flook TERMINATED: 01/30/2012 (Plaintiff) Craig Carpenito Alston and Bird LLP 90 Park Avenue New York, NY 10016 212-210-9400 craig.carpenito@alston.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant) Gretchen Carpenter Strange & Carpenter 12100 Wilshire Boulevard Suite 1900 Los Angeles, CA 90025 310-207-5055 310-826-3210 (fax) gcarpenter@strangeandcarpenter.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Kerri Madden (Plaintiff) Michael Houlf (Plaintiff) Michael H. Carpenter Carpenter, Lipps & Leland Ste. 1300 280 North High Street Columbus, OH 43215 614-365-4100 614-365-9145 (fax) carpenter@carpenterlipps.com Assigned: 01/17/2012 ATTORNEY TO BE NOTICED representing Toyota Motor North America, Inc. (Defendant) Michael Hiram Carpenter Carpenter and Lipps 41 South High Street Columbus, OH 43215 614-365-4100 carpenter@carpenterlipps.com Assigned: 05/17/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Todd David Carpenter Bonnett Fairbourn Friedman and Balint PC 600 West Broadway Suite 900 San Diego, CA 92101 619-756-6978 602-274-1199 (fax) tcarpenter@bffb.com Assigned: 05/14/2010 ATTORNEY TO BE NOTICED representing Stefanie Bradley (Plaintiff) Edward Morgan Carstarphen, III Ellis Carstarphen et al 5847 San Felipe Suite 1900 Houston, TX 77057 713-647-6800 713-647-6884 (fax) emc@ecdglaw.com Assigned: 05/07/2010 TERMINATED: 03/11/2011 representing Albert A. Pena, III (Plaintiff) Sylvia Pena (Plaintiff) James E. Carter James E. Carter and Associates, LLC 400 E. President Street Savannah, GA 31401 912-236-7200 912-234-9700 (fax) jcarter@carterfirm.net Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Amanda Laird (Plaintiff) Christine Schara (Plaintiff) Rebecca Clifton (Plaintiff) Joseph Kenneth Carter, Jr Turner Padget Graham and Laney PO Box 1473 Columbia, SC 29202 803-254-2200 803-400-1462 (fax) kcarter@turnerpadget.com Assigned: 05/07/2010 TERMINATED: 06/08/2010 representing Denso Manufacturing Tennessee Inc TERMINATED: 07/27/2010 (Defendant) Robert M. Carter ROBERT M. CARTER - ATTORNEY AT LAW 308 South Central Avenue New Albany, MS 38652 (601) 534-9059 rmclaw1973@hotmail.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Belva Simmons (Plaintiff) David Works (Plaintiff) William Simmons (Plaintiff) James E Cecchi Carella Byrne Bain Gilfillan Cecchi Stewart and Olstein 5 Becker Farm Road Roseland, NJ 07068 973-994-1700 973-994-1744 (fax) JCecchi@CarellaByrne.com Assigned: 04/12/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Maureen Colaberdino (Plaintiff) Lu Li TERMINATED: 05/04/2010 (Plaintiff) Lawrence J. Centola, III Martzell & Bickford 338 Lafayette Street New Orleans, LA 70130 504-581-9065 504-581-7635 (fax) lcentola@mbfirm.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Roshawn Donahue (Plaintiff) Roger A Cerda Alston & Bird LLP 333 South Hpoe Street 16th Floor Los Angeles, CA 90071 213-576-1000 213-576-1100 (fax) Roger.Cerda@alston.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Jordan Lucas Chaikin Parker Waichman Alonso LLP 27399 Riverview Center Boulevard Suite 106 Bonita Springs, FL 34134 (239) 390-1000 (239) 390-0055 (fax) jchaikin@yourlawyer.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Humberto Rivas-Vigil (Plaintiff) Daniel H Chang Diversity Law Group APC 550 South Hope Street Suite 2655 Los Angeles, CA 90071 213-488-6555 213-488-6554 (fax) dchang@diversitylaw.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Chris Chan Park (Plaintiff) Donald Pritchett (Plaintiff) Mary Ann Parker (Plaintiff) Seong Bae Choi (Plaintiff) Un Jin Choi (Plaintiff) Sandra Reech TERMINATED: 03/23/2011 (Plaintiff) Brenda E. Burack (Plaintiff) Phillip R. King (Plaintiff) Stephen I. Burack (Plaintiff) Kathleen C Chavez The Chavez Law Firm PC 3 North Second Street, Suite 300 St. Charles, IL 90174 630-232-6333 630-845-8982 (fax) Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing DEISY F TOLEDO (Plaintiff) Stanley M Chesley Waite Schneider Bayless & Chesley 1 West 4th Street 1513 4th & Vine Tower Cincinnati, OH 45202 513-621-0267 stanchesley@wsbclaw.com Assigned: 04/12/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Honorable Paul Turner (Plaintiff) Allan L Weller (Plaintiff) Brenda Shonfield (Plaintiff) Connie Kamphaus (Plaintiff) Erica Thomas (Plaintiff) Holly Boyd (Plaintiff) Kyle Briggs (Plaintiff) Lee Shonfield (Plaintiff) Lori S Trahan (Plaintiff) Shalini Ignatenkov (Plaintiff) Thomas A Trahan (Plaintiff) Charles Gibbens TERMINATED: 03/23/2011 (Plaintiff) Karen Gibbens TERMINATED: 03/23/2011 (Plaintiff) Al Viviano TERMINATED: 03/31/2011 (Plaintiff) Jo Anna Viviano TERMINATED: 03/31/2011 (Plaintiff) Thomas Kamphaus TERMINATED: 03/31/2011 (Plaintiff) Ernestine Montgomery (Plaintiff) Hugh W Cox (Plaintiff) Pamela M Cox (Plaintiff) Harold D. Messinger TERMINATED: 10/27/2011 (Plaintiff) Jeffrey G. Messinger TERMINATED: 10/27/2011 (Plaintiff) Victor Levey (Plaintiff) Gloria Haynes (Plaintiff) Huey Pierce Haynes, II (Plaintiff) Bonnie Jackson (Plaintiff) Cornelia Neely (Plaintiff) Darlene M Cho Loeb and Loeb 10100 Santa Monica Boulevard Suite 2200 Los Angeles, CA 90067 310-282-2000 310-282-2200 (fax) dcho@loeb.com Assigned: 04/15/2010 TERMINATED: 05/14/2010 representing Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant) Edward Wonkyu Choi Choi and Associates Law Offices 3435 Wilshire Boulevard Suite 2410 Los Angeles, CA 90010 213-381-1515 213-233-4409 (fax) edward.choi@calaw.biz Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Chris Chan Park (Plaintiff) Donald Pritchett (Plaintiff) Mary Ann Parker (Plaintiff) Seong Bae Choi (Plaintiff) Un Jin Choi (Plaintiff) Sandra Reech TERMINATED: 03/23/2011 (Plaintiff) Brenda E. Burack (Plaintiff) Phillip R. King (Plaintiff) Stephen I. Burack (Plaintiff) Salvadore Christina, Jr. Becnel Law Firm, LLC (Reserve) 106 W. Seventh St. P. O. Drawer H Reserve, LA 70084 985-536-1186 schristina@becnellaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Cynthia M. Parker (Plaintiff) Galatia D Johnson (Plaintiff) Wanda M. Lee (Plaintiff) Lillian Harris (Plaintiff) Anthony Chu Capretz and Associates West Tower 5000 Birch Street Suite 2500 Newport Beach, CA 92660 949-474-3000 949-757-2635 (fax) Assigned: 05/05/2010 ATTORNEY TO BE NOTICED representing Kelley W. Dion (Plaintiff) Jerry K. Cimmet Jerry K Cimmet Law Offices 177 Bovet Road Suite 600 San Mateo, CA 94402 650-866-4700 650-866-4770 (fax) cimmet@att.net Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Karen Bickel (Plaintiff) Brian Deis (Plaintiff) Lee A Cirsch The Lanier Law Firm 2049 Century Park East Suite 1940 Los Angeles, CA 90067 310-277-5100 310-277-5103 (fax) lec@lanierlawfirm.com Assigned: 02/02/2011 ATTORNEY TO BE NOTICED representing Ann Snider (Plaintiff) Dennis Snider (Plaintiff) Denyse F Clancy Baron & Budd PC 3102 Oak Lawn Avenue Suite 1100 Dallas, TX 75219 214-521-3605 214-520-1181 (fax) dclancy@baronbudd.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Adilia Aviles (Plaintiff) Rhonda Talbot (Plaintiff) Thomas E. Clary, III GLASSMAN EDWARDS WADE & WYATT, P.C. 26 N. Second Street Memphis, TN 38103 901-527-4673 901-521-0940 (fax) tclary@gewwlaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Louis Pera, Jr. (Plaintiff) Jonathan Hale Claydon Greenberg Traurig, LLP 77 W. Wacker Drive Suite 3100 Chicago, IL 60601 312 456 1022 claydonj@gtlaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Gerald Cleary Pappas Hubbard O'Connor Fildes Secaras, PC 150 North Michigan Avenue Suite 3300 Chicago, IL 60601 (312) 894-3200 312-894-3210 (fax) gcleary@phofs.com Assigned: 09/09/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing The Hertz Corporation (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) John R Climaco Climaco Wilcox Peca Tarantino & Garofoli Co LPA 55 Public Square Suite 1950 Cleveland, OH 44113 216-621-8484 216-771-1632 (fax) jrclim@climacolaw.com Assigned: 04/30/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Ani Gazaryan (Plaintiff) Laurence K. Johnston (Plaintiff) Robyn Horn (Plaintiff) Thomas Davis (Plaintiff) Troy Menssen (Plaintiff) Jennifer Lee Glardon (Plaintiff) Terence R. Coates Waite, Schneider, Bayless & Chesley - Cincinnati 1513 Fourth & Vine Tower One West Fourth Street Cincinnati, OH 45202 513-621-0267 513-621-0262 (fax) terrycoates@wsbclaw.com Assigned: 05/06/2011 ATTORNEY TO BE NOTICED representing Gloria Haynes (Plaintiff) Huey Pierce Haynes, II (Plaintiff) Terence Richard Coates Waite, Schneider, Bayless & Chesley 1513 Fourth & Vine Tower 1 West Fourth Street Cincinnati, OH 45202 513/621-0267 513/621-0262 (fax) terrycoates@wsbclaw.com Assigned: 03/24/2011 ATTORNEY TO BE NOTICED representing Victor Levey (Plaintiff) Bonnie Jackson (Plaintiff) Cornelia Neely (Plaintiff) Joseph Allan Cobb Weiss & Cobb Attorneys At Law 9420 Bunsen Parkway Suite 306 Louisville, KY 40220 502-493-1394 502-493-1445 (fax) allancobb@weissandcobb.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Christopher L. Leaverton (Plaintiff) Christopher L Coffin Pendley Baudin & Coffin LLP P O Drawer 71 Plaquemine, LA 70765 225-687-6396 225-687-6398 (fax) ccoffin@pbclawfirm.com Assigned: 04/30/2010 LEAD ATTORNEY PRO HAC VICE ATTORNEY TO BE NOTICED representing Allie R Rockforte (Plaintiff) Bryon Hawes (Plaintiff) Kiersten Hawes (Plaintiff) Malcom Hawes (Plaintiff) Donald C Coggins, Jr Harrison White Smith & Coggins PC 178 West Main Street Spartanburg, SC 29304 864-585-5100 864-591-0491 (fax) dcoggins@spartanlaw.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Dale Roberts (Plaintiff) William A Cohan William A Cohan Law Offices PO Box 3448 Rancho Santa Fe, CA 92067 858-832-1632 bill@williamacohan.com Assigned: 08/02/2010 ATTORNEY TO BE NOTICED representing Elvira Gesell (Plaintiff) Melanie Berlieb (Plaintiff) Cale H Conley Conley Griggs Partin LLP 1380 West Paces Ferry Road NW Suite 2100 Atlanta, GA 30327 404-467-1155 404-467-1166 (fax) cale@conleygriggs.com Assigned: 09/27/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Ida Starr St John (Plaintiff) Jayne Conroy Hanly Conroy Bierstein Sheridan Fisher & Hayes LLP 112 Madison Avenue 7th Floor New York, NY 10016 212-784-6400 212-213-5949 (fax) jconroy@hanlyconroy.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Chris Chan Park (Plaintiff) Donald Pritchett (Plaintiff) Mary Ann Parker (Plaintiff) Seong Bae Choi (Plaintiff) Un Jin Choi (Plaintiff) Sandra Reech TERMINATED: 03/23/2011 (Plaintiff) Brenda E. Burack (Plaintiff) Phillip R. King (Plaintiff) Stephen I. Burack (Plaintiff) Titsa Pelzman (Plaintiff) Andrew B Cooke Flaherty Sensabaugh and Bonasso PO Box 3843 Charleston, WV 25338-3843 304-345-0200 304-345-0260 (fax) acooke@fsblaw.com Assigned: 09/09/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing West Virginia, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Calty Design Research, Inc. TERMINATED: 10/27/2011 (Defendant) CTS Corporation TERMINATED: 12/15/2010 (Defendant) J Gordon Cooney, Jr Morgan Lewis & Bockius LLP 1701 Market Street Philadelphia, PA 19103-2921 215-963-5000 215-963-5001 (fax) jgcooney@morganlewis.com Assigned: 12/24/2012 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Joseph Winters Cotchett Cotchett Pitre and McCarthy LLP San Francisco Airport Office Center 840 Malcolm Road Suite 200 Burlingame, CA 94010 650-697-6000 650-697-0577 (fax) jcotchett@cpmlegal.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Green Spot Motors Co (Plaintiff) Daniel Boudreault (Plaintiff) Daniel Hamilton (Plaintiff) Shawn Lyna Council Shawn Council LLC 745 Blue Hills Avenue Bloomfield, CT 06002 860-726-9474 877-334-9666 (fax) shawncouncil@shawncouncil.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Patel Nimishabahen (Plaintiff) Robert Wayne Cowan Bailey Perrin Bailey The Lyric Centre 440 Louisiana Suite 2100 Houston, TX 77002 713/425-7100 713/425-7101 (fax) rcowan@bpblaw.com Assigned: 06/04/2010 representing Jasbir Grewal TERMINATED: 12/08/2010 (Plaintiff) Guy W Crabtree Pulley Watson King & Lischer PA 905 West Main Street, Suite 21F Durham, NC 27701-2076 919-682-9691 919-688-9107 (fax) GWC@pulleywatson.com Assigned: 06/30/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Joseph R Graybeal (Plaintiff) Patricia B Graybeal (Plaintiff) Patrick J. Cremeens The Law Office of Patrick J. Cremeens, PL Suite 8 4707 Gandy Blvd Tampa, FL 33611 813/839-2000 813/839-3500 (fax) Patrick@cremeenslaw.com Assigned: 11/17/2010 ATTORNEY TO BE NOTICED representing Jenny Devereaux (Plaintiff) Jennifer L. Crose Becnel Law Firm, LLC (Reserve) 106 West Seventh St.reet P. O. Drawer H Reserve, LA 70084 985-536-1186 jcrose@becnellaw.com Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Ann Cavalier (Plaintiff) Colby Wenck (Plaintiff) Daniel Weimer, Jr. (Plaintiff) Gary T Brock (Plaintiff) Lillian Harris (Plaintiff) Rebecca A Cunard Cunard Law Firm 9214 Interline Avenue Baton Rouge, LA 70809-1907 225-925-2978 225-925-8192 (fax) rebecca@cunardlaw.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing LaRocca's Auto Sales, Inc. (Plaintiff) Carolyn Boudoin (Plaintiff) Larry Boudoin (Plaintiff) Pamela Frederickson (Plaintiff) Hal D Cunningham Scott & Scott LLP 6424 Santa Monica Boulevard Los Angeles, CA 90038 213-985-1274 213-985-1278 (fax) hcunningham@scott-scott.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Gary Brown (Plaintiff) Peter L Currie Law Firm of Peter L. Currie PC 536 Wing Lane St. Charles, IL 60174 630-862-1130 630-845-8982 (fax) Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing DEISY F TOLEDO (Plaintiff) C Brooks Cutter Kershaw Cutter & Ratinoff 401 Watt Avenue Sacramento, CA 95864 916-448-9800 916-669-4499 (fax) bcutter@kcrlegal.com Assigned: 04/30/2010 LEAD ATTORNEY ATTORNEY TO BE NOTICED representing Ernest Cornell (Plaintiff) DAVID J DISABATO DISABATO & BOUCKENOOGHE LLC 8 MANSFIELD COURT MENDHAM, NJ 07945 973-813-2525 ddisabato@disabatolaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing JON J. DARCY (Plaintiff) REGINA H. DARCY (Plaintiff) BRIAN M. DRATCH FRANZBLAU DRATCH, PC PLAZA ONE 354 EISENHOWER PARKWAY PO BOX 472 LIVINGSTON, NJ 07039 (973) 992-3700 bdratch@njcounsel.com Assigned: 10/04/2011 ATTORNEY TO BE NOTICED representing MIN CHUN (Plaintiff) SOON O. JEONG (Plaintiff) Bernard Daskal Lynch Daskal Emery LLP 264 West 40th Street New York, NY 10018 212-302-2400 212-302-2210 (fax) daskal@lawlynch.com Assigned: 06/04/2010 TERMINATED: 08/31/2010 representing Michael Yastrab (Plaintiff) Christine Davenport Office of the General Counsel US House of Representatives 219 Cannon House Office Building Washington, DC 20515 202-225-9700 202-226-1360 (fax) christine.davenport@mail.house.gov Assigned: 04/06/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing Committee on Energy & Commerce of the United States House of Representatives The (Movant) Gary W Davis, Jr Bowman and Brooke LLP 600 Congress Avenue Suite 1400 Austin, TX 78701 512-874-3866 512-874-3801 (fax) gary.davis@bowmanandbrooke.com Assigned: 05/25/2011 ATTORNEY TO BE NOTICED representing DENSCO International America (Defendant) Cari K Dawson Alston & Bird LLP 1201 West Peachtree Street Atlanta, GA 30309 404-881-7000 404-881-7777 (fax) cari.dawson@alston.com Assigned: 04/12/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing California, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor Manufacturing Texas, Inc. (Defendant) Toyota Motor Manufacturing West Virginia, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Paul Joseph Day DLA Piper LLP US The Marbury Building 6225 Smith Ave Baltimore, MD 21209-3600 14105803000 14105803001 (fax) paul.day@dlapiper.com Assigned: 10/28/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Steven Owens Dean Young & Alexander Co., LPA - 3 One First National Plaza 130 W Second Street Dayton, OH 45402 937-224-9291 sdean@yandalaw.com Assigned: 07/06/2011 ATTORNEY TO BE NOTICED representing Hertz Global Holdings, Inc. (Defendant) Matthew Carl Decker Alston & Bird LLP 90 Park Avenue New York, NY 10016 212-210-9449 212-210-9444 (fax) matt.decker@alston.com Assigned: 08/27/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) James L. Deese Ste. 512 20325 Center Ridge Road Cleveland, OH 44116 440-356-5056 440-356-9260 (fax) jasdeese@sbcglobal.net Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Troy Menssen (Plaintiff) Nimish R Desai Lieff Cabraser Heimann & Bernstein LLP 275 Battery Street 29th Floor San Francisco, CA 94111-3339 415-956-1000 415-956-1008 (fax) ndesai@lchb.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Jacquelyn Donoghue (Plaintiff) Teresa B. Myers TERMINATED: 06/11/2010 (Plaintiff) William C. Myers TERMINATED: 06/11/2010 (Plaintiff) Andrew Flury (Plaintiff) David Hanna (Plaintiff) Donna Hanna (Plaintiff) Harry Williams (Plaintiff) Jill Bond (Plaintiff) Joel Bond (Plaintiff) Joseph Christian (Plaintiff) Kirk Crank (Plaintiff) Mary Jo Crank (Plaintiff) Sandra Livingston (Plaintiff) Tetyana Flury (Plaintiff) Robert Booher TERMINATED: 06/30/2010 (Plaintiff) Jerome Cangelosi TERMINATED: 09/28/2010 (Plaintiff) Lori Cangelosi TERMINATED: 09/28/2010 (Plaintiff) Lorrie Krieger TERMINATED: 09/28/2010 (Plaintiff) Judy Warren TERMINATED: 10/01/2010 (Plaintiff) Omar Roberts (Plaintiff) Brian Barlow TERMINATED: 01/28/2011 (Plaintiff) Hae Chang (Plaintiff) Camille McCormick TERMINATED: 07/02/2010 (Plaintiff) Anita Jorge TERMINATED: 11/15/2011 (Plaintiff) Carol Hatzman TERMINATED: 09/28/2010 (Plaintiff) Dwayne Watkins, Jr. (Plaintiff) Eduardo Recinos (Plaintiff) Rosario Garcia (Plaintiff) Deborah Mayton (Plaintiff) Thomas Mayton (Plaintiff) Demetrice Bibbins (Plaintiff) Paul Spisto (Plaintiff) Geraldine Haddad (Plaintiff) Carlos Espino TERMINATED: 11/21/2011 (Plaintiff) Howard Sportsman (Plaintiff) Margaret Sportsman (Plaintiff) William Givens, II (Plaintiff) Margaret Bocskor (Plaintiff) Margaret Daly (Plaintiff) Michael Daly (Plaintiff) Thelma Sue Jude (Plaintiff) Ida Starr St John (Plaintiff) Walter Scott Tarter (Plaintiff) Larissa Parker (Plaintiff) Dennis Sowders (Plaintiff) Margaret Sowders (Plaintiff) Cathy Whitaker (Plaintiff) Eric C. Deters Eric C. Deters & Associates, P.S.C. 5247 Madison Pike Independence, KY 41051 859-363-1900 859-363-1444 (fax) llittle@ericdeters.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Micah Maryn (Plaintiff) Amy Smith Roth (Plaintiff) Angela Boles (Plaintiff) Debra Poynter (Plaintiff) Fran Preedom (Plaintiff) Krystal Eggerding (Plaintiff) Laurie Chambers (Plaintiff) Lucero Davidson (Plaintiff) Mark Davidson (Plaintiff) Ron Poynter (Plaintiff) Tina Preedom (Plaintiff) Joel Allen Dewey DLA Piper LLP 6225 Smith Avenue Baltimore, MD 21209-3600 410-580-3000 410-580-4135 (fax) joel.dewey@dlapiper.com Assigned: 05/18/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Derin B Dickerson Alston & Bird LLP 1201 West Peachtree Street Atlanta, GA 30309 404-881-7000 404-881-7777 (fax) derin.dickerson@alston.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing West Virginia, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Alan Dion Dion Rosenau Smith Menszak and Aaron 1628 John F Kennedy Boulevard Suite 900 Philadelphia, PA 19103 215-561-7000 adion@dionrosenau.com Assigned: 01/24/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing State Farm Mutual Automobile Insurance Company (Plaintiff) William Kenneth C. Dippel Dippel Law Offices 12221 Merit Dr Ste 670 Dallas, TX 75251 972 866-9900 wkcd@wkcd.net Assigned: 10/31/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing Adrian Lagakos (Plaintiff) Colleen Krause (Plaintiff) David Lagakos (Plaintiff) Lawrence W Huffman (Plaintiff) Patricia L Huffman (Plaintiff) Stan M Doerrer Finkelstein Thompson LLP 1050 30th Street NW Washington, DC 20007 202-337-8000 202-337-8090 (fax) sdoerrer@finkelsteinthompson.com Assigned: 05/05/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Charles Saba (Plaintiff) Robyn Saba (Plaintiff) Micah Maryn (Plaintiff) Paul M Dominguez Branch Law Firm 2025 Rio Grande Blvd., NW Albuquerque, NM 87104 505-243-3500 505-243-3534 (fax) Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Michael Kenneth Hollis TERMINATED: 08/12/2010 (Plaintiff) Sandra P Hollis TERMINATED: 08/12/2010 (Plaintiff) Timothy J Donahue Timothy J Donahue Law Offices 374 South Glassell Street Orange, CA 92866 949 261 6088 949 261 6069 (fax) tdonahue@attorneydonahue.com Assigned: 09/07/2010 ATTORNEY TO BE NOTICED representing Rosetta Rehder (Plaintiff) James F Donohue Donohue Law Firm 101 East Diamond Street Suite 214 Butler, PA 16001 724/285-1557 724/285-6977 (fax) jfdonohue@donohuelawfirm.com Assigned: 07/09/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing David Corbitt (Plaintiff) Janet Corbitt (Plaintiff) Tony Dooley Shorty, Dooley & Hall, LLC 650 Poydras Street Suite 2110 New Orleans, LA 70130 504-949-2545/504-239-1370 Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Mack Sims TERMINATED: 10/27/2011 (Plaintiff) Theodore Dorenkamp Bowman & Brooke LLP 150 S 5th St Ste 3000 Mpls, MN 55402 612-339-8682 612-672-3200 (fax) ted.dorenkamp@bowmanandbrooke.com Assigned: 03/01/2012 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Patrick N Downes Loeb & Loeb LLP 10100 Santa Monica Boulevard Suite 2200 Los Angeles, CA 90071-2899 310-282-2352 310-919-3886 (fax) pdownes@loeb.com Assigned: 04/15/2010 TERMINATED: 05/14/2010 representing Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant) William James Doyle, II Doyle Lowther LLP 10200 Willow Creek Road Suite 150 San Diego, CA 92131 858-935-9960 858-939-1939 (fax) bill@doylelowther.com Assigned: 04/30/2010 ATTORNEY TO BE NOTICED representing Kathy Kallenbach TERMINATED: 09/25/2012 (Plaintiff) James Peterschmidt TERMINATED: 09/25/2012 (Plaintiff) Neha Duggal Wexler Wallace LLP 455 Capitol Mall Suite 231 Sacramento, CA 95814 916-492-1100 916-492-1124 (fax) nd@wexlerwallace.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Peter Wisner (Plaintiff) Phillip J. Duncan Duncan Firm Three Financial Center 900 South Shackleford Road Suite 725 Little Rock, AR 72211 501-228-7600 501-228-0415 (fax) phillip@duncanfirm.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Wilma Lentz (Plaintiff) B. Timothy Durick PEARCE & DURICK 314 E THAYER AVE PO BOX 400 BISMARCK, ND 58502-0400 701-223-2890 btd@pearce-durick.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Wendy Ellen Duvall 2475 Virginia Ave NW Apt. 812 Washington, DC 20037 202-604-0780 907-677-7711 (fax) wendy8863@yahoo.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing John Jeremy Robson TERMINATED: 01/31/2011 (Plaintiff) Edward Isao Funasaki (Plaintiff) Jack S Dweck The Dweck Law Firm LLP 230 Park Avenue, Suite 416 New York, NY 10169-0124 212-687-8200 212-697-2521 (fax) Assigned: 10/13/2010 TERMINATED: 08/22/2012 representing Beverly Ifergan (Plaintiff) Michael Joseph Ecuyer Gainsburgh, Benjamin, David, Meunier & Warshauer Energy Centre 1100 Poydras St. Suite 2800 New Orleans, LA 70163-2800 504-522-2304 mecuyer@gainsben.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Robert Stephen McKinney (Plaintiff) Robert L. Samuels (Plaintiff) Darryl W Edmondson Hagood, Tarpy & Cox, PLLC 2100 Riverview Tower 900 S. Gay Street Knoxville, TN 37902 423-992-5484 Assigned: 06/04/2010 representing Millie Charlottie Hartgrove (Plaintiff) Eugene R Egdorf Lanier Law Firm PC 6810 FM 1960 West Houston, TX 77069 713-659-5200 713-659-2204 (fax) ere@lanierlawfirm.com Assigned: 08/02/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Charles Turner (Plaintiff) Gene Peay Darrah (Plaintiff) Holly Sue Knighton (Plaintiff) Paul Richard Knighton (Plaintiff) Philip James Darrah (Plaintiff) Clayton Q Aukland (Plaintiff) Romanus Akamike (Plaintiff) James Schreckengost Sr TERMINATED: 09/24/2010 (Plaintiff) Patricia Schreckengost TERMINATED: 09/24/2010 (Plaintiff) Beverly Ann Martell (Plaintiff) Mike Martell (Plaintiff) Ann Snider (Plaintiff) Dennis Snider (Plaintiff) Cory R Eichelberger Lewis and Associates, LLC 500 S. Rancho Dr., Ste 7 Las Vegas, NV 89106 702-870-5571 ceichelberger@lbbslaw.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Sylvia Gausch (Plaintiff) Carolina Salvador TERMINATED: 10/27/2011 (Plaintiff) Edgardo Soliman TERMINATED: 10/27/2011 (Plaintiff) Wilma Herrera TERMINATED: 10/27/2011 (Plaintiff) Lewis S Eidson Colson Hicks Eidson 225 Alhambra Circle Coral Gables, FL 33134 305-476-7400 305-476-7444 (fax) mike@colson.com Assigned: 04/16/2012 ATTORNEY TO BE NOTICED representing Sharlene Cohen-Goldberg (Plaintiff) Lewis S. Eidson Colson Hicks Eidson 255 Aragon Avenue 2nd Floor Coral Gables, FL 33134-2351 305-476-7400 476-7444 (fax) Mike@colson.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Cindy L. Bencsik (Plaintiff) Donna B. Bellony (Plaintiff) Jeanne Epstein (Plaintiff) Jerry A Borbon (Plaintiff) Jose E. Novoa (Plaintiff) Karen F. Ruiz (Plaintiff) Maxine Rosenfeld (Plaintiff) Miguel E. Cordero (Plaintiff) Ned Sachs (Plaintiff) Omar Alexander Montes (Plaintiff) Paul Rosenfeld (Plaintiff) Sharlene Cohen-Goldberg (Plaintiff) Stuart Plush (Plaintiff) Thelma Reid (Plaintiff) Tiffany Jones (Plaintiff) Evelyn Iona Hutchins (Plaintiff) James Schreckengost, Sr. (Plaintiff) Jeannette Klein (Plaintiff) Patricia Schreckengost (Plaintiff) Janet K. Black (Plaintiff) Scott Austin Elder Alston & Bird LLP 1201 West Peachtree Street Atlanta, GA 30309-3424 404-881-7000 404-253-8580 (fax) scott.elder@alston.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Jordan Elias Lieff Cabraser Heimann and Bernstein LLP 275 Battery Street 30th Floor San Francisco, CA 94111 415-956-1000 415-956-1008 (fax) jelias@lchb.com Assigned: 12/18/2012 ATTORNEY TO BE NOTICED representing Ida Starr St John (Plaintiff) Joel E Elkins The Altman Law Group 6300 Wilshire Boulevard Suite 980 Los Angeles, CA 90048 323-653-5581 323-653-5542 (fax) jelkins@altmanlawgroup.net Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Sam Goldberger (Plaintiff) David Ellin Law Office of David Ellin PC 20 S Charles St, Ste 308 Baltimore, MD 21202 14107271005 14107271003 (fax) dellin@ellinlaw.com Assigned: 10/28/2011 ATTORNEY TO BE NOTICED representing John Strigle (Plaintiff) J Kent Emison Langdon & Emison 911 Main Street PO Box 220 Lexington, MO 64067 660-259-6175 660-259-4571 (fax) kemison@langdonemison.com Assigned: 04/12/2011 TERMINATED: 05/24/2011 representing Michael Miranda 2013 Angela Street Arabi, LA 70032 TERMINATED: 08/12/2011 (Plaintiff) J. Kent Emison Langdon & Emison 911 Main Street P.O.Box 220 Lexington, MO 64067 660-259-6175 kemison@langdonemison.com Assigned: 03/01/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing Jasmine Keller (Plaintiff) R Graham Esdale, Jr Beasley Allen Crow Methvin Portis and Miles PC 218 Commerce Street Montgomery, AL 36103 334-269-2343 334-954-7555 (fax) graham.esdale@beasleyallen.com Assigned: 05/03/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing John Laprarie (Plaintiff) Shirley Laprarie (Plaintiff) CHARLES A. FIORE 34 SOUTH MAIN STREET P.O. BOX 525 WILLIAMSTOWN, NJ 08094 (856) 875-1166 cfiore6@verizon.net Assigned: 06/09/2010 ATTORNEY TO BE NOTICED representing CESARE COSLOP, IV (Plaintiff) Richard Victor Falcon The Murphy Firm One South St 23rd Fl Baltimore, MD 21202 14105396500 14105396599 (fax) Richard.Falcon@murphypa.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Edith Schantz (Plaintiff) Joseph Schantz (Plaintiff) Jonathan P Farmer Jones Hawkins & Farmer PLC 150 Fourth Avenue North Suite 1820 Nashville, TN 37219 615-726-0050 615-726-5177 (fax) jfarmer@joneshawkinsfarmer.com Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Gary Brown (Plaintiff) Gordon M Fauth, Jr Litigation Law Group 1801 Clement Avenue Suite 10` Alameda, CA 94501 510-238-9610 510-337-1431 (fax) gmf@classlitigation.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Gloria Park (Plaintiff) Ronald J. Favre Michael Hingle & Associates, Inc. (Slidell) 220 Gause Blvd. Suite 200 P. O. Box 1129 Slidell, LA 70459 985-641-6800 ron@hinglelaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Aaron Jones (Plaintiff) Alfred Shepard (Plaintiff) Bernadine Shepard (Plaintiff) Isabella Jones (Plaintiff) Thomas Downey Sr (Plaintiff) Matthew Edward Feinberg Finkelstein & Goldman PC 7315 Wisconsin Avenue Suite 400 Bethesda, MD 20814 310-951-8400 301-951-8401 (fax) Matt@fglawfirm.com Assigned: 04/22/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Estelle Gottesman (Plaintiff) Kenneth B Fenelon, Jr Vujasinovic & Beckcom, PLLC 1001 Texas Ave. Suite 1020 Houston, TX 77002 713-224-7800 713-224-7801 (fax) Kenneth@vbattorneys.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Brenda Bishop (Plaintiff) Richard L Fewell, Jr Law Office of Richard L Fewell Jr P O Drawer 1437 W Monroe, LA 71294-1437 318-388-3320 Assigned: 11/17/2010 ATTORNEY TO BE NOTICED representing Gregory Slocum (Plaintiff) Linda Slocum Price (Plaintiff) Lurline Slocum (Plaintiff) Steven Slocum (Plaintiff) Timothy R. Fiedler Beasley, Allen, Crow, Methvin, Portis & Miles, PC* 218 Commerce St Montgomery, AL 38104 386/734-4215 386/734-7419 (fax) tim.fiedler@beasleyallen.com Assigned: 05/07/2010 TERMINATED: 06/14/2011 representing Renita Cipriani (Plaintiff) Nancy Leavitt Fineman Cotchett Pitre and McCarthy LLP San Francisco Airport Office Center 840 Malcolm Road Suite 200 Burlingame, CA 94010 650-697-6000 nfineman@cpmlegal.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Green Spot Motors Co (Plaintiff) Daniel Boudreault (Plaintiff) Daniel Hamilton (Plaintiff) Steven Elliott Fineman Lieff Cabraser Heimann and Bernstein LLP 250 Hudson Street 8th Floor New York, NY 10013-1413 212-355-9500 212-355-9592 (fax) Assigned: 05/11/2010 ATTORNEY TO BE NOTICED representing Daniel Murtha TERMINATED: 06/28/2010 (Plaintiff) Nancy Murtha TERMINATED: 06/28/2010 (Plaintiff) Nathan I Finkelstein Finkelstein and Horvitz PC 7315 Wisconsin Ave Ste 400 East Bethesda, MD 20814 13019518400 13019518401 (fax) nat@fglawfirm.com Assigned: 02/03/2011 ATTORNEY TO BE NOTICED representing Estelle Gottesman (Plaintiff) J. Benjamin Finley 2931 N DRUID HILLS RD STE A ATLANTA, GA 30329 404-320-9979 404-320-9978 (fax) bfinley@thefinleyfirm.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Gary LeMay (Plaintiff) Viviane Stoller (Plaintiff) Corey Ann Finn Jones Ward PLC 312 S. Fourth Street, 6th Floor Louisville, KY 40202 502-587-2002 502-587-2006 (fax) corey@jonesward.com Assigned: 11/29/2011 ATTORNEY TO BE NOTICED representing Laurence F. Siegel (Plaintiff) Nicole T. Fiorelli Dworken & Bernstein - Painesville 60 South Park Place Painesville, OH 44077 440-352-3391 440-352-3469 (fax) nfiorelli@dworkenlaw.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing G&M Motors, Inc. (Plaintiff) Clinton B Fisher Hanly Conroy Bierstein Sheridan Fisher & Hayes LLP 112 Madison Avenue New York, NY 10016-7416 212-784-6400 212-213-5949 (fax) cfisher@hanlyconroy.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Chris Chan Park (Plaintiff) Donald Pritchett (Plaintiff) Mary Ann Parker (Plaintiff) Seong Bae Choi (Plaintiff) Un Jin Choi (Plaintiff) Sandra Reech TERMINATED: 03/23/2011 (Plaintiff) Yvonne M Flaherty Lockridge Grindal Nauen PLLP 100 Washington Ave South Suite 2200 Minneapolis, MN 55401-2179 612-339-6900 ymflaherty@locklaw.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Alyson L. Oliver (Plaintiff) Wendy R Fleishman Leiff Cabraser Heimann and Bernstein LLP 250 Hudson Street 8th Floor New York, NY 10013-1413 212-355-9500 Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Diane Devlin TERMINATED: 10/01/2010 (Plaintiff) Lucille Fox TERMINATED: 10/27/2011 (Plaintiff) Leonard V Fodera Silverman & Fodera PC Eleven Penn Center 1835 Market Street Suite 2600 Philadelphia, PA 19103 215-561-2100 lfodera@foderalawfirm.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing FRANCINE GUOKAS (Plaintiff) Stephen J Foley Foley & Mansfield PLLP 1111 Broadway 10th Floor Oakland, CA 94607 510-590-9500 510-590-9595 (fax) sfoley@foleymansfield.com Assigned: 05/07/2010 TERMINATED: 08/19/2010 representing Laurence K. Johnston (Plaintiff) Robert M Foote Foote Meyers Mielke & Flowers LLC 3 North Second Street Suite 300 St. Charles, IL 60174 630-232-6333 630-845-8982 (fax) rmf@foote-meyers.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing DEISY F TOLEDO (Plaintiff) Shawn Gayland Foster Davis Bethune & Jones LLC 1100 Main Street Suite 2930 Kansas City, MO 64105 816-421-1600 816-472-5972 (fax) sfoster@dbjlaw.net Assigned: 05/11/2010 ATTORNEY TO BE NOTICED representing Jerry Baker Auto Sales, LLC 600 Industrial Road Sedalia, MO 65301 (Plaintiff) Bruce D Fox Fox & Farley 310 North Main Street Clinton, TN 37716 865-457-6440 865-457-6322 (fax) brucefox@foxandfarleylaw.com Assigned: 09/27/2010 ATTORNEY TO BE NOTICED representing Benjamin Hughes (Plaintiff) Harold E. Franklin, Jr. 1180 Peachtree St. NE Atlanta, GA 30309 404-572-3539 404-572-5136 (fax) hfranklin@kslaw.com Assigned: 09/27/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Eric D Freed Complex Litigation Group LLC 111 West Washington Street, Suite 1331 Chicago, IL 60602 312-220-0000 Assigned: 04/15/2010 TERMINATED: 08/22/2012 representing Lu Li TERMINATED: 05/04/2010 (Plaintiff) Andrew S Friedman Bonnett Fairbourn Friedman and Balint PC 2325 East Camelback Road Phoenix, AZ 85016 602-274-1100 602-274-1199 (fax) afriedman@bffb.com Assigned: 05/14/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Stefanie Bradley (Plaintiff) Howard Friedman Law Offices of Howard Friedman, P.C. 90 Canal Street 5th Floor Boston, MA 02114-2022 617-742-4100 617-742-5858 (fax) hfriedman@civil-rights-law.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Mary Ferrara (Plaintiff) Jeffrey E. Friedman FRIEDMAN LEAK DAZZIO ZULANAS and BOWLING, PC 3800 Corporation Woods Drive Birmingham, AL 35242 205-278-7080 jfriedman@friedmanleak.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Belva Simmons (Plaintiff) David Works (Plaintiff) William Simmons (Plaintiff) Millie Charlottie Hartgrove (Plaintiff) Todd M Friedman Law Offices of Todd M Friedman PC 369 South Doheny Drive Suite 415 Beverly Hills, CA 90211 877-206-4741 866-623-0228 (fax) tfriedman@attorneysforconsumers.com Assigned: 05/15/2012 ATTORNEY TO BE NOTICED representing Michael Houlf (Plaintiff) Mark A. Friel Stoll Stoll Berne Lokting & Shlachter, PC 209 S.W. Oak Street Suite 500 Portland, OR 97204 (503) 227-1600 (503) 227-6840 (fax) mfriel@stollberne.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Timothy John Vanagas (Plaintiff) Abbey Chun Furlong Lane and Waterman LLP 220 North Main Street Suite 600 Davenport, IA 52801 563-333-6645 563-324-1616 (fax) afurlong@l-wlaw.com Assigned: 07/15/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Steven Douglas Gacovino Gacovino, Lake & Associates, P.C. 270 West Main Street Sayville, NY 11782 (631) 543-5400 (631) 543-5450 (fax) s.gacovino@gacovinolake.com Assigned: 11/17/2010 ATTORNEY TO BE NOTICED representing Faruk Xhakli (Plaintiff) Syzana Xhakli (Plaintiff) Todd E Gadtke Gadkte & Brennan, P.A. 11284 86th Avenue Maple Grove, MN 55369 763-315-4548 763-315-2715 (fax) tgadtke@gadtkebrennanlaw.com Assigned: 06/04/2010 TERMINATED: 04/19/2012 representing Robert Ruf TERMINATED: 04/19/2012 (Plaintiff) John E Gagliardi LUVERA BARNETT BRINDLEY BENINGER & CUNNINGHAM 701 5TH AVE STE 6700 SEATTLE, WA 98104 206-467-6090 206-467-6961 (fax) John@luveralawfirm.com Assigned: 09/27/2012 ATTORNEY TO BE NOTICED representing Mohammad Kazim Jalalyar (Plaintiff) Shamsulhayat Jalalyar (Plaintiff) Vincent Galvin, Jr Bowman and Brooke LLP 1741 Techonology Drive Suite 200 San Jose, CA 95110 408-279-5393 408-279-5845 (fax) vgalvin@bowman-brooke.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing California, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales Corporation, U.S.A., Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) CTS Corporation TERMINATED: 12/15/2010 (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota North America, Inc. (Defendant) Toyota Motor Credit Corp (Defendant) Andrew J Garcia Phillips and Garcia PC 13 Ventura Drive Dartmouth, MA 02747 508-998-0800 508-998-0919 (fax) agarcia@phillipsgarcia.com Assigned: 05/05/2010 ATTORNEY TO BE NOTICED representing Charles Saba (Plaintiff) Robyn Saba (Plaintiff) Leif Garrison Carey Law Firm 2301 East Pikes Peak Avenue Colorado Springs, CO 80909 719-635-0377 leif@hbsslaw.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Elizabeth Van Zyl (Plaintiff) Catherine Ryan Gauthier Smitko & Ory APLC 622 Belanger Street Hourna, LA 70360 985-851-1313 985-851-1250 (fax) catherine@jerrismitko.com Assigned: 03/15/2011 TERMINATED: 04/19/2012 representing Bernadine Carter 137 Acklen Ave. Houma, LA 70363 (Plaintiff) Elizabeth Hartman 139 King Street Houma, LA 70363 (Plaintiff) Lavergne Short 505 Woodside Drive Houma, LA 70363 (Plaintiff) Karl Geercken Alston & Bird LLP 90 Park Avenue New York, NY 10016 212-210-9400 212-210-9444 (fax) karl.geercken@alston.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant) Robert N Gellatly, Jr. LUVERA BARNETT BRINDLEY BENINGER & CUNNINGHAM 701 5TH AVE STE 6700 SEATTLE, WA 98104 206-292-1144 FAX 340-0902 (fax) robert@luveralawfirm.com Assigned: 09/27/2012 ATTORNEY TO BE NOTICED representing Mohammad Kazim Jalalyar (Plaintiff) Shamsulhayat Jalalyar (Plaintiff) Eric M George Browne George Ross LLP 2121 Avenue of the Stars 24th Floor Los Angeles, CA 90067 310-274-7100 310-275-5697 (fax) egeorge@bgrfirm.com Assigned: 04/16/2010 TERMINATED: 03/25/2011 representing Grace Shigematsu (Plaintiff) Ronald Shigematsu (Plaintiff) Lawrence F. Gepford, Jr. 9200 Ward Parkway- Ste. 550 Kansas City, MO 64114 816-333-9600 816-363-3900 (fax) rickg@gepfordlaw.com Assigned: 12/16/2010 ATTORNEY TO BE NOTICED representing Karen S. Crozier (Plaintiff) Mark John Geragos Geragos and Geragos PC 644 South Figeuroa Street Los Angeles, CA 90017 213-625-3900 213-625-1600 (fax) mark@geragos.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Akop Galadzhyan (Plaintiff) Ani Gazaryan (Plaintiff) Christine Aznavour (Plaintiff) Elza Dzhivalegyan (Plaintiff) Hrayr Okkasian (Plaintiff) Karine Mazmanyan (Plaintiff) Nerses Mazmanyan (Plaintiff) Svetlana Abajyan (Plaintiff) Tamara Harutyunyan (Plaintiff) Aza Srourian (Plaintiff) Bertam Srourian (Plaintiff) Elen Edilyan (Plaintiff) Frankie McKinney (Plaintiff) Nellie Yazitchyan (Plaintiff) Walter McKinney (Plaintiff) Robyn Horn (Plaintiff) Troy Menssen (Plaintiff) Robert G. Germany PITTMAN, GERMANY, ROBERTS & WELSH, LLP P. O. Box 22985 Jackson, MS 39225-2985 601/948-6200 601/948-6187 (fax) rgg@pgrwlaw.com Assigned: 10/11/2012 ATTORNEY TO BE NOTICED representing Jimmy Brown (Plaintiff) Rose Brown (Petitioner) Charles A. Getto McAnany, Van Cleave & Phillips, P.A. -- KCK 10 E. Cambridge Circle Drive, Suite 300 Kansas City, KS 66101 913-371-3838 913-371-4722 (fax) Cgetto@mvplaw.com Assigned: 12/16/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) MaryBeth V Gibson 2931 North Drud Hills Road Suite A Atlanta, GA 30329 404-380-9979 404-320-9978 (fax) mgibson@thefinleyfirm.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Gary LeMay (Plaintiff) Viviane Stoller (Plaintiff) Robert G Gilchrist EISENBERG & GILCHRIST 900 PARKSIDE TOWER 215 S STATE ST SALT LAKE CITY, UT 84111 (801)366-9100 rgilchrist@braytonlaw.com Assigned: 12/16/2010 ATTORNEY TO BE NOTICED representing Ruben Munoz (Plaintiff) Lisa Gilford Alston and Bird LLP 333 South Hope Street 16th Floor Los Angeles, CA 90071 213-576-1000 213-576-1100 (fax) lisa.gilford@alston.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & America, Inc. (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing California, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor Manufacturing West Virginia, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Christina L. Gill Roseman Kimmel & Silverman, P.C. 210 Grant Street, Suite 202 Pittsburgh, PA 15219 1-800-536-6652 ext 160 412-566-1005 (fax) croseman@lemonlaw.com Assigned: 10/13/2010 ATTORNEY TO BE NOTICED representing JANICE MARKOWITZ (Plaintiff) Joshua P. Gilmore Bailey Kennedy 8984 Spanish Ridge Avenue Las Vegas, NV 89148 (702) 562-8820 (702) 562-8821 (fax) jgilmore@baileykennedy.com Assigned: 09/10/2010 ATTORNEY TO BE NOTICED representing Anthony Crespo (Plaintiff) Carole Fisher (Plaintiff) Gary Ratliff (Plaintiff) Jo Ann Parochetti (Plaintiff) Kishin Khilnani (Plaintiff) Michael Matsis (Plaintiff) Sasha Nizgoda (Plaintiff) Thomas Vincent Girardi Girardi Keese 1126 Wilshire Boulevard Los Angeles, CA 90017 213-977-0211 213-481-1554 (fax) tgirardi@girardikeese.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Lu Li TERMINATED: 05/04/2010 (Plaintiff) Maureen Colaberdino (Plaintiff) Jeffrey B Gittleman Barrack Rodos & Bacine 3200 Two Commerce Square 2001 Market Street Suite 3300 Philadelphia, PA 19103 215-963-0600 215-963-0838 (fax) jgittleman@barrack.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Max L. Lieberman (Plaintiff) Phyllis C. Lieberman (Plaintiff) Carol Ann Henderson (Plaintiff) Joseph J. Boppre (Plaintiff) Nancy L. Boppre (Plaintiff) Tamra Carsten Givens Morgan & Morgan, PA 201 North Franklin Street 7th Floor Tampa, FL 33602 813-286-4100 813-286-4174 (fax) tgivens@forthepeople.com Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Michelle Lynch (Plaintiff) Lionel Zevi Glancy Glancy Binkow and Goldberg LLP 1925 Century Park East Suite 2100 Los Angeles, CA 90067 310-201-9150 310-201-9160 (fax) lglancy@glancylaw.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Luis Fernandez (Plaintiff) Matthew Marr (Plaintiff) Sylvia Fernandez (Plaintiff) Michael Choi TERMINATED: 04/19/2010 (Plaintiff) Thomas P Glass Strauss & Troy Federal Reserve Building 4th Floor 150 East Fourth Street Cincinnati, OH 45202-4018 513-621-2120 tpglass@strausstroy.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Joel Grunkemeyer (Plaintiff) John Sukola (Plaintiff) Sharon Wilson (Plaintiff) Karla M Gluek Gustafson Gluek PLLC 608 2nd Ave S Ste 650 Mpls, MN 55402 612-333-8844 612-339-6622 (fax) kgluek@gustafsongluek.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Alyson L. Oliver (Plaintiff) James Michael Bell (Plaintiff) Ted M. Wedul (Plaintiff) Antonio Gnocchi-Franco Gnocchi-Franco Law Office PO Box 193408 San Juan, PR 00919-3408 787-753-1566 787-765-2681 (fax) agf@gnocchilaw.com Assigned: 01/10/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Michael M Goldberg Glancy Binkow and Goldberg LLP 1925 Century Park East Suite 2100 Los Angeles, CA 90067 310-201-9150 310-201-9160 (fax) mmgoldberg@glancylaw.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Luis Fernandez (Plaintiff) Matthew Marr (Plaintiff) Sylvia Fernandez (Plaintiff) Michael Choi TERMINATED: 04/19/2010 (Plaintiff) Jason A Golden Montgomery, Rennie & Jonson 36 East Seventh Street Suite 2100 Cincinnati, OH 45202 513-768-5211 513-241-8775 (fax) jgolden@mrjlaw.com Assigned: 09/09/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Jeffrey Scott Goldenberg Goldenberg Schneider & Groh LPA 35 East Seventh Street Suite 600 Cincinnati, OH 45202 513-345-8291 513-345-8294 (fax) jgoldenberg@gs-legal.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Tom Kunce (Plaintiff) Robert Jay Goldman Finkelstein and Horvitz PC 7315 Wisconsin Ave Ste 400 East Bethesda, MD 20866 13019518400 13019518401 (fax) rob@fglawfirm.com Assigned: 02/03/2011 ATTORNEY TO BE NOTICED representing Estelle Gottesman (Plaintiff) Ronald S Goldser Zimmerman Reed 1100 IDS Center, 80 South 8th St. Minneapolis, MN 55402 612-341-0400 (612) 341-0844 (fax) ronald.goldser@zimmreed.com Assigned: 08/10/2010 ATTORNEY TO BE NOTICED representing Melba M. Mitchell (Plaintiff) Amelia A. Welch TERMINATED: 10/27/2011 (Plaintiff) Terrence L. Goodman WAITE SCHNEIDER BAYLESS & CHESLEY CO. Suite 1500 One West Fourth Street Cincinnati, OH 45202 513/621-0267 513/621-0262 (fax) terrygoodman@wsbclaw.com Assigned: 11/17/2010 TERMINATED: 06/14/2012 representing Harold D. Messinger TERMINATED: 10/27/2011 (Plaintiff) Jeffrey G. Messinger TERMINATED: 10/27/2011 (Plaintiff) Victor Levey (Plaintiff) Gloria Haynes (Plaintiff) Huey Pierce Haynes, II (Plaintiff) Bonnie Jackson (Plaintiff) Cornelia Neely (Plaintiff) Demoya R Gordon Faegre & Benson LLP 90 S 7th St Ste 2200 Mpls, MN 55402-3901 612-766-7551 612-766-1600 (fax) dgordon@faegre.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Lee M Gordon Hagens Berman Sobol Shapiro LLP 301 North Lake Avenue Suite 203 Pasadena, CA 91101 213-330-7150 213-330-7152 (fax) lee@hbsslaw.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Christine Hotaling (Plaintiff) Donald Graham (Plaintiff) Henry Troup (Plaintiff) Linda Summerville (Plaintiff) Robert Navarro (Plaintiff) Thomas E. Gudmundson (Plaintiff) Veronica Troup (Plaintiff) John Flook TERMINATED: 01/30/2012 (Plaintiff) Dana L Gottlieb Gottlieb & Associates 150 East 18th Street, Suite PHR New York, NY 10003 212-228-9795 Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Charlene Tran (Plaintiff) Jeffrey M Gottlieb Gottlieb & Associates 150 East 18th Street Suite PHR New York, NY 10003 212-228-9795 Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Charlene Tran (Plaintiff) Michael J Grady Law Office of Michael Grady 50 W Montgomery Ave Ste 100 Rockville, MD 20850 13012179388 13012170122 (fax) grady.law@hotmail.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Ann Keller TERMINATED: 04/05/2011 (Plaintiff) Kimberley Keller TERMINATED: 04/05/2011 (Plaintiff) Robert W. Keller TERMINATED: 04/05/2011 (Plaintiff) Suzanne L. Keller TERMINATED: 04/05/2011 (Plaintiff) Edward A Gray Eckert Seamans Cherin & Mellott LLC Two Liberty Place 50 South 16th Street 22nd Floor Philadelphia, PA 19102 egray@eckertseamans.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing California, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) CTS Corporation TERMINATED: 12/15/2010 (Defendant) Mark K. Gray Gray & White 505 W. Ormsby Louisville, KY 40203 502-585-2060 mgray@grayandwhitelaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Christopher L. Leaverton (Plaintiff) Christopher E Green CHRISTOPHER E. GREEN, ATTORNEY AT LAW 601 Union Street Suite 4285 Seattle, WA 98101 206-686-4558 chris@myfaircredit.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Elizabeth Seu (Plaintiff) Philip Burton Green 75-1000 Henry St. Suite 201 Kailua-Kona, HI 96740 (808) 315-4501 (808) 342-0240 (fax) lawyergreen@yahoo.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Edward Isao Funasaki (Plaintiff) Peter A Greene Sachs Maitlin Fleming and Greene 80 Main Street West Orange, NJ 07052 973-731-3400 petergreene@smfglaw.com Assigned: 01/30/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing ELIZABETH GROSMAN (Plaintiff) Katie Eidson Griffin Sill & Medley 14005 North Eastern Avenue Edmond, OK 73013 405-509-6300 405-509-6268 (fax) katie.griffin@sillmedleylaw.com Assigned: 05/10/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Dru Colin Lee (Plaintiff) Keith David Griffin Girardi & Keese 1126 Wilshire Blvd Los Angeles, CA 90017-1904 213-977-0211 213-481-1554 (fax) kgriffin@girardikeese.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Lu Li TERMINATED: 05/04/2010 (Plaintiff) Richard A Griggs Conley Griggs Partin LLP 1380 West Paces Ferry Rd NW Suite 2100 Atlanta, GA 30327 404-467-1155 404-467-1166 (fax) richard@conleygriggs.com Assigned: 09/27/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Ida Starr St John (Plaintiff) Kevin Walter Grillo Hilliard and Munoz 719 S Shoreline Ste 500 Corpus Christi, TX 78401 361-882-1612 Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Albert A. Pena, III (Plaintiff) Sylvia Pena (Plaintiff) Ronald L Grimm Ambrose, Wilson, Grimm & Durand P O Box 2466 Knoxville, TN 37901-2466 865-544-3000 865-637-1709 (fax) rongrimm@awgd.com Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Nancy Leach Rookard TERMINATED: 10/27/2011 (Plaintiff) Theresa L. Groh Murdock Goldenberg Schneider & Groh LPA 35 East Seventh Street Suite 600 Cincinnati, OH 45202-2015 513-345-8291 tgroh@mgsglaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Tom Kunce (Plaintiff) H. Philip Grossman Grossman & Moore, PLLC 401 W. Main Street One Riverfront Plaza, Suite 1810 Louisville, KY 40202 502-5891001 502-589-7333 (fax) pgrossman@gminjurylaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Anita Jorge TERMINATED: 11/15/2011 (Plaintiff) John A K Grunert Campbell Campbell Edwards and Conroy PC One Constitution Plaza 3rd Floor Boston, MA 02129 617-241-3000 Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Anne Katherine Guillory Dinsmore & Shohl LLP - Louisville 101 S. Fifth Street, Suite 2500 Louisville, KY 40202-3197 502-581-8000 502-581-8111 (fax) anne.guillory@dinsmore.com Assigned: 08/22/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Daniel E Gustafson Gustafson Gluek Canadian Pacific Plaza 120 South 6th Street, Suite 2600 Minneapolis, MN 55402 612-333-8844 dgustafson@gustafsongluek.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Alyson L. Oliver (Plaintiff) James Michael Bell (Plaintiff) Ted M. Wedul (Plaintiff) Lucien C. Gwin, III GWIN, LEWIS & PUNCHES P O Box 1344 Natchez, MS 39121-1344 (601) 446-6621 sam@gwinlawfirm.com Assigned: 12/16/2010 ATTORNEY TO BE NOTICED representing Bryon Hawes (Plaintiff) Kiersten Hawes (Plaintiff) Malcom Hawes (Plaintiff) I. James Hackenberg Baker, Hackenberg &Hennig Ste. 100 77 North St. Clair Street Painesville, OH 44077 440-354-4364 440-354-0135 (fax) hackenberg@bhhlawyers.com Assigned: 11/26/2012 ATTORNEY TO BE NOTICED representing Classic Classics, LLC (Defendant) James F. Haggerty Law Ofc of James F. Haggerty 45 Broadway 31st Floor New York, NY 10006 866-960-8648 646-619-4324 (fax) jamesfhaggerty@gmail.com Assigned: 08/27/2010 TERMINATED: 11/15/2010 ATTORNEY TO BE NOTICED representing Marie DuBois (Plaintiff) L Jeffrey Hagood Hagood, Tarpy & Cox, PLLC 2100 Riverview Tower 900 S. Gay St. Knoxville, TN 37902 865-525-7313 865-525-0858 (fax) jhagood@htandc.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Millie Charlottie Hartgrove (Plaintiff) James Robert Hail Doyle Lowther LLP 10200 Willow Creek Road Suite 150 San Diego, CA 92131 858-935-9960 858-939-1939 (fax) jim@doylelowther.com Assigned: 05/06/2010 ATTORNEY TO BE NOTICED representing James Peterschmidt TERMINATED: 09/25/2012 (Plaintiff) Kathy Kallenbach TERMINATED: 09/25/2012 (Plaintiff) Michael Joseph Hall Shorty, Dooley & Hall, LLC 650 Poydras Street Suite 2110 New Orleans, LA 70130 504-949-2545 Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Mack Sims TERMINATED: 10/27/2011 (Plaintiff) Paul J Hanly, Jr Hanly Conroy Bierstein Sheridan Fisher & Hayes LLP 112 Madison Avenue New York, NY 10016-7416 212-784-6401 212-213-5949 (fax) phanly@hanlyconroy.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Chris Chan Park (Plaintiff) Donald Pritchett (Plaintiff) Mary Ann Parker (Plaintiff) Seong Bae Choi (Plaintiff) Un Jin Choi (Plaintiff) Sandra Reech TERMINATED: 03/23/2011 (Plaintiff) Anne O Hanna Bowman and Brooke LLP 1741 Technology Drive Suite 200 San Jose, CA 95110 408-279-5393 408-279-5845 (fax) anne.hanna@bowmanandbrooke.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing California, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) CTS Corporation TERMINATED: 12/15/2010 (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor Engineering & America, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota North America, Inc. (Defendant) James B Hardin Newport Trial Group 610 Newport Center Drive Suite 700 Newport Beach, CA 92660 949-706-6464 949-706-6469 (fax) jhardin@trialnewport.com Assigned: 04/16/2010 TERMINATED: 01/26/2011 representing Barry C. Broden TERMINATED: 10/12/2010 (Plaintiff) Ellyn J. Broden TERMINATED: 10/12/2010 (Plaintiff) K. R. 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) Denese Rhooms 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) Dwayne Rhooms 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) Roy Williams (Plaintiff) Sandy Carmichael (Plaintiff) Pazir Mohammad and Nahyatt Mohammad TERMINATED: 06/24/2010 (Plaintiff) Wilma Larue Lauderdale and James Lauderdale TERMINATED: 10/08/2010 (Plaintiff) Jacqueline West TERMINATED: 12/10/2010 (Plaintiff) Raliegh Scott (Plaintiff) Saundra Hill Scott (Plaintiff) Christine Fogh (Plaintiff) Stephanie Cedillo (Plaintiff) Scott A Harford Lynch Daskal Emery LLP 264 West 40th Street New York, NY 10018 212-302-2400 212-302-2210 (fax) harford@lawlynch.com Assigned: 06/23/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Michael Yastrab (Plaintiff) Lance August Harke Harke Clasby & Bushman LLP 9699 NE Second Avenue Miami Shores, FL 33138 305-536-8220 305-536-8229 (fax) lharke@harkeclasby.com Assigned: 04/12/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Jonathan Gellman (Plaintiff) Richelle M Harris Frost Brown Todd LLC - Ind/IN 201 North Illinois St Suite 1900 PO Box 44961 Indianapolis, IN 46244-0961 317-237-3800 Assigned: 12/16/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Scott H. Harris McLane Graf Raulerson & Middleton (Manchester) 900 Elm Street PO Box 326 Manchester, NH 03105 603 625-6464 scott.harris@mclane.com Assigned: 10/31/2012 ATTORNEY TO BE NOTICED representing Adrian Lagakos (Plaintiff) Colleen Krause (Plaintiff) David Lagakos (Plaintiff) Lawrence W Huffman (Plaintiff) Patricia L Huffman (Plaintiff) Gregory A Harrison Dinsmore & Shohl - Cincinnati 1900 Chemed Center 255 East Fifth Street Cincinnati, OH 45202 513-977-8200 513-977-8200 (fax) Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Joseph Toyota of Cincinnati (Defendant) Kings Toyota, Inc. (Defendant) Toyota Lease Trust (Defendant) Toyota Motor Credit Corp (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Joseph T of D, Co. d/b/a Joseph Airport Toyota (Defendant) Toyota Motor North America, Inc. (Defendant) CTS Corporation TERMINATED: 12/15/2010 (Defendant) Toyota Motor Corporation (Defendant) Todd Jefferson Hartley thartley@watkinseager.com Assigned: 12/16/2010 TERMINATED: 04/20/2012 representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant) Robert I Harwood Harwood Feffer LLP 488 Madison Avenue 8th Floor New York, NY 10022 212-935-7400 212-753-3630 (fax) rharwood@hfesq.com Assigned: 06/09/2010 ATTORNEY TO BE NOTICED representing Steven Boughner (Plaintiff) Lisa M Hasselman Hagens Berman Sobol Shapiro LLP 1918 Eight Avenue Suite 3300 Seattle, WA 98101 206-268-9320 206-623-0594 (fax) lisah@hbsslaw.com Assigned: 10/14/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Deluxe Holdings, Inc. (Plaintiff) G&M Motors, Inc. (Plaintiff) Green Spot Motors Co (Plaintiff) Honorable Paul Turner (Plaintiff) Aaron Austin (Plaintiff) Adilia Aviles (Plaintiff) Akop Galadzhyan (Plaintiff) Alex Farrugia (Plaintiff) Andrew Flury (Plaintiff) Angela Boles (Plaintiff) Ani Gazaryan (Plaintiff) Ann Cavalier (Plaintiff) Anthony Bonacci (Plaintiff) Anthony Crespo (Plaintiff) Anthony Georges-Pierre (Plaintiff) Anthony M. Georges-Pierre (Plaintiff) Arlene S. Heilbrunn (Plaintiff) Barbara Iglesias (Plaintiff) Benjamin Hughes (Plaintiff) Brenda Bishop (Plaintiff) Brenda E. Burack (Plaintiff) Brian Deis (Plaintiff) Burton Field (Plaintiff) CESARE COSLOP, IV (Plaintiff) Carol Ann Henderson (Plaintiff) Carole Fisher (Plaintiff) Carolyn Boudoin (Plaintiff) Cathy Cisetti (Plaintiff) Cheryl Abken (Plaintiff) Christine Aznavour (Plaintiff) Christine Carr (Plaintiff) Christine Hotaling (Plaintiff) Christopher Carlson (Plaintiff) Cindy L. Bencsik (Plaintiff) Clayton Q Aukland (Plaintiff) Dale Baldisseri (Plaintiff) Dana Clark (Plaintiff) Daniel Boudreault (Plaintiff) Daniel Durgin (Plaintiff) Daniel Hamilton (Plaintiff) David Gaspard (Plaintiff) David Hanna (Plaintiff) Dawn De Vincenzi (Plaintiff) Deborah Baumkel (Plaintiff) Devra Glassman (Plaintiff) Diane Gumble (Plaintiff) Donald Graham (Plaintiff) Donna B. Bellony (Plaintiff) Donna Hanna (Plaintiff) Dorothy Gaspard (Plaintiff) Dot-Marie Gallardo-Browning (Plaintiff) E. Brandon Bowron (Plaintiff) Ebony Brown (Plaintiff) Edward Isao Funasaki (Plaintiff) Elaine Byrnes (Plaintiff) Elen Edilyan (Plaintiff) Elie Cezaire (Plaintiff) Elvira Gesell (Plaintiff) Elwanda Fontenot (Plaintiff) Elza Dzhivalegyan (Plaintiff) Enoc Desroches (Plaintiff) Ernest Cornell (Plaintiff) Etienne Eva (Plaintiff) FRANCINE GUOKAS (Plaintiff) Frederick Greisiger (Plaintiff) Gary T Brock (Plaintiff) Gary Brown (Plaintiff) Gary Davis (Plaintiff) Gary Gustin (Plaintiff) Gene Peay Darrah (Plaintiff) Germain Dazile (Plaintiff) Ghislaine Bernard (Plaintiff) Gulaine Dorsainvil (Plaintiff) H. W. Fanning (Plaintiff) Hae Chang (Plaintiff) Henri Gattereau (Plaintiff) Histha Henry (Plaintiff) Holly Boyd (Plaintiff) Hugh W Cox (Plaintiff) Ira Lee Dadisman (Plaintiff) JON J. DARCY (Plaintiff) Jacquelyn Donoghue (Plaintiff) James Michael Bell (Plaintiff) James P Griffin (Plaintiff) James R. Haustein (Plaintiff) Jane Saint Drake (Plaintiff) Jay Brandt (Plaintiff) Jean Dominguez (Plaintiff) Jean Isaac (Plaintiff) Jeanne Epstein (Plaintiff) Jennifer Wendy Burke (Plaintiff) Jennifer Lee Glardon (Plaintiff) Jerry A Borbon (Plaintiff) Jill Bond (Plaintiff) Jim Heidenreich (Plaintiff) Joel Bond (Plaintiff) Joel Grunkemeyer (Plaintiff) John Harding (Plaintiff) Jonathan Gellman (Plaintiff) Joseph J. Boppre (Plaintiff) Joseph Christian (Plaintiff) Joseph Hauter (Plaintiff) Joseph R Hernandez (Plaintiff) Joyce Ann Atnip (Plaintiff) Judith M Enderle (Plaintiff) Judy Barzare (Plaintiff) Julie Beard (Plaintiff) Karen Bickel (Plaintiff) Kathy Boyask (Plaintiff) Kelley W. Dion (Plaintiff) Kevin P Fogarty (Plaintiff) Kevin Funez (Plaintiff) Kirk Crank (Plaintiff) Krystal Eggerding (Plaintiff) Kyle Briggs (Plaintiff) LOUISE GORDON (Plaintiff) Larry Boudoin (Plaintiff) Laurie Chambers (Plaintiff) Lena Gally (Plaintiff) Linda Jean Charles (Plaintiff) Lucero Davidson (Plaintiff) Ludger Charles (Plaintiff) Luis Fernandez (Plaintiff) Lydia Ellison (Plaintiff) MICHAEL DUBE (Plaintiff) Margaret Gonzales (Plaintiff) Maria Helmick (Plaintiff) Marie DuBois (Plaintiff) Marie Elisee (Plaintiff) Marie Isaac (Plaintiff) Mario Elisee (Plaintiff) Mark Adkinson (Plaintiff) Mark Davidson (Plaintiff) Mark Fraase (Plaintiff) Mary Jo Crank (Plaintiff) Mary Ferrara (Plaintiff) Mary Pat Hauck (Plaintiff) Maureen Colaberdino (Plaintiff) Melanie Berlieb (Plaintiff) Melanie Bonacci (Plaintiff) Meredith Heller (Plaintiff) Michael Barzare (Plaintiff) Michael Graves (Plaintiff) Michael C Graves (Plaintiff) Miguel E. Cordero (Plaintiff) Millie Charlottie Hartgrove (Plaintiff) Mindy A. Corrigan (Plaintiff) Nancy L. Boppre (Plaintiff) Orusmond Florestal (Plaintiff) Pamela M Cox (Plaintiff) Pamela Frederickson (Plaintiff) Patricia Grier (Plaintiff) Philip James Darrah (Plaintiff) REGINA H. DARCY (Plaintiff) Rebecca Clifton (Plaintiff) Renita Cipriani (Plaintiff) Richard Immerman (Plaintiff) Robert Elmes (Plaintiff) Robyn Horn (Plaintiff) Romanus Akamike (Plaintiff) Ronald Fahey (Plaintiff) Rosalina Diaz (Plaintiff) Roshawn Donahue (Plaintiff) S. Firgon (Plaintiff) Saintil Petit Frere (Plaintiff) Sam Goldberger (Plaintiff) Sandy Carmichael (Plaintiff) Sean Beard (Plaintiff) Selena Michelle Hines-Muhammad (Plaintiff) Seong Bae Choi (Plaintiff) Serge Derival (Plaintiff) Shalini Ignatenkov (Plaintiff) Sharlene Cohen-Goldberg (Plaintiff) Solomon Harbor (Plaintiff) Sonya Gray (Plaintiff) Stefanie Bradley (Plaintiff) Stephen I. Burack (Plaintiff) Steve Clemons (Plaintiff) Steven Boughner (Plaintiff) Suzette L. Farrelly (Plaintiff) Svetlana Abajyan (Plaintiff) Sylvia Fernandez (Plaintiff) Sylvia Gausch (Plaintiff) T Leigh Beard (Plaintiff) Tamara Harutyunyan (Plaintiff) Tetyana Flury (Plaintiff) Thomas Davis (Plaintiff) Thomas Downey Sr (Plaintiff) Thomas E. Gudmundson (Plaintiff) Timothy P. Farrelly (Plaintiff) Timothy Helmick (Plaintiff) Un Jin Choi (Plaintiff) Vilsaint Georges (Plaintiff) Wayne S. Harris (Plaintiff) Weller W. Douglas (Plaintiff) Willette Green (Plaintiff) Willy Saint Hilaire (Plaintiff) Yonet Gardiner (Plaintiff) Zahira Crespo-Bithorn (Plaintiff) Michael Choi TERMINATED: 04/19/2010 (Plaintiff) Robert Booher TERMINATED: 06/30/2010 (Plaintiff) Carol Hatzman TERMINATED: 09/28/2010 (Plaintiff) Jerome Cangelosi TERMINATED: 09/28/2010 (Plaintiff) Lori Cangelosi TERMINATED: 09/28/2010 (Plaintiff) Diane Devlin TERMINATED: 10/01/2010 (Plaintiff) Barry C. Broden TERMINATED: 10/12/2010 (Plaintiff) Ellyn J. Broden TERMINATED: 10/12/2010 (Plaintiff) Jasbir Grewal TERMINATED: 12/08/2010 (Plaintiff) CTS Corporation TERMINATED: 12/15/2010 (Defendant) Brian Barlow TERMINATED: 01/28/2011 (Plaintiff) Charles Gibbens TERMINATED: 03/23/2011 (Plaintiff) Karen Gibbens TERMINATED: 03/23/2011 (Plaintiff) Doug V. Goodwin TERMINATED: 06/22/2011 (Plaintiff) Lucille Fox TERMINATED: 10/27/2011 (Plaintiff) Wilma Herrera TERMINATED: 10/27/2011 (Plaintiff) MITCHELL P. GEDID 921 Mclaughlin Run Road Bridgeville, PA 15017 (412) 758-7599 (Plaintiff) Joseph Buccier 2606 Park Drive Cleveland, OH 44130 (Plaintiff) Sunil P. George 56 Kensington Ct Hempstead, NY 11550 516-485-6835 (Plaintiff) David Hulsen 6641 Oak Street Kansas City, MO 64113 (Plaintiff) Suzanne Riegel Breit TERMINATED: 04/22/2011 (Plaintiff) Dylan Cruikshank TERMINATED: 04/23/2012 (Plaintiff) Stacy K Hauer Zimmerman Reed, PLLP 651 Nicollet Mall Ste 501 Mpls, MN 55402-4123 612-341-0400 612-341-0844 (fax) Assigned: 12/16/2010 TERMINATED: 08/22/2012 representing Amelia A. Welch TERMINATED: 10/27/2011 (Plaintiff) Donald E Haviland, Jr Haviland Hughes LLC 111 S. Independence Mall East The Bourse, Suite 1000 Philadelphia, PA 19106 215-609-4661 215-392-4440 (fax) haviland@havilandhughes.com Assigned: 04/01/2011 ATTORNEY TO BE NOTICED representing Gabriel Zieme-Diedrich (Plaintiff) Wayne D. Hawn Brothers and Associates P.O. Box 1650 Bend, OR 97709-1650 (541) 382-5885 (541) 382-3328 (fax) whawn@brotherslaw.com Assigned: 05/10/2010 ATTORNEY TO BE NOTICED representing Ronald Fahey (Plaintiff) Stephen J Healy Stephen Healy Law Offices 1390 N McDowell Boulevard Suite G Petaluma, CA 94954 707-534-0553 707-676-8648 (fax) sjh@stephenhealy.com Assigned: 03/04/2011 ATTORNEY TO BE NOTICED representing Emebet Bekele (Plaintiff) Daniel W. Heath Rice & Heath 29 S. Main Street Winchester, KY 40391 859-737-5316 859-737-0370 (fax) dheath@riceheathlaw.com Assigned: 02/17/2012 ATTORNEY TO BE NOTICED representing Larry W. Jenkins (ThirdParty Defendant) Edgar F Heiskell, III Edgar F Heiskell Attorney at Law P.O. Box 3232 Charleston, WV 25332-3232 304-989-4459 604-342-1110 (fax) hikeheiskell@rocketmail.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Elaine Byrnes (Plaintiff) Jeff Mullins (Plaintiff) Michael Graves (Plaintiff) Michael C Graves (Plaintiff) Daniel D Lee (Plaintiff) Juana Veriguete-Montero (Plaintiff) Linda Alford Wooten (Plaintiff) Paula Flynn Simmons (Plaintiff) Matthew Reese (Plaintiff) Narcisso Pimentel (Plaintiff) Sosima Pimentel (Plaintiff) Larry D Helvey 2735 First Avenue SE Suite 101 Cedar Rapids, IA 52402 319 362 0421 319 362 3496 (fax) lhelvey@helveylaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Deanna Riley (Plaintiff) Jody Weigel (Plaintiff) Julie Beard (Plaintiff) Michael Riley (Plaintiff) Sean Beard (Plaintiff) Dana A Henderson LAW OFFICES OF JAMES S ROGERS 1500 4TH AVENUE STE 500 SEATTLE, WA 98101 206-621-8525 dah@jsrogerslaw.com Assigned: 09/27/2012 ATTORNEY TO BE NOTICED representing Mohammad Kazim Jalalyar (Plaintiff) Shamsulhayat Jalalyar (Plaintiff) Toby K Henderson Sebaly Shillito & Dyer - 3 1900 Kettering Tower Dayton, OH 45423 937-222-2500 thender@ssdlaw.com Assigned: 05/10/2010 ATTORNEY TO BE NOTICED representing Similarly Situated John and Jane Does (Plaintiff) Rebecca S. Shumaker (Plaintiff) Gail Henderson-Staples HENDERSON HENDERSON & STAPLES 711 1/2 Fifth Ave Huntington, WV 25701 304/523-5732 304/523-5169 (fax) Assigned: 11/17/2010 ATTORNEY TO BE NOTICED representing Harold D. Messinger TERMINATED: 10/27/2011 (Plaintiff) Jeffrey G. Messinger TERMINATED: 10/27/2011 (Plaintiff) William Michael Hensley Alvarado Smith APC One MacArthur Place Suite 200 Santa Ana, CA 92707 714-852-6800 714-852-6899 (fax) mhensley@adorno.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Jessica M. Kramer TERMINATED: 05/04/2010 (Plaintiff) Matthew J Herman Foote Meyers Mielke & Flowers LLC 3 North Second Street Suite 300 St. Charles, IL 60174 630-232-6333 630-845-8982 (fax) mherman@foote-meyers.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing DEISY F TOLEDO (Plaintiff) Stephen J Herman Herman Gerel LLP 820 O'Keefe Avenue New Orleans, LA 70113 504-581-4892 504-561-6024 (fax) sherman@hhkc.com Assigned: 05/07/2010 TERMINATED: 04/15/2011 representing Jennifer Wendy Burke (Plaintiff) Suzette L. Farrelly (Plaintiff) Timothy P. Farrelly (Plaintiff) Robert C Hilliard Hilliard Munoz Guerra LLP 719 Shoreline Boulevard Suite 500 Corpus Christi, TX 87401-3548 361-882-1612 bobh@hmglawfirm.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Albert A. Pena, III (Plaintiff) Sylvia Pena (Plaintiff) Jeffrey P Hinebaugh Dinsmore & Shohl - 1 1900 Chemed Center 255 E 5th Street Cincinnati, OH 45202 513-977-8200 jeff.hinebaugh@dinslaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Beechmont Toyota, Inc. (Defendant) Toyota Lease Trust (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Clyde Dyson (Defendant) Waldon Michael Hingle Michael Hingle & Associates, Inc. (Slidell) 220 Gause Blvd. Suite 200 P. O. Box 1129 Slidell, LA 70459 985-641-6800 servewmh@hinglelaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Aaron Jones (Plaintiff) Alfred Shepard (Plaintiff) Bernadine Shepard (Plaintiff) Isabella Jones (Plaintiff) Thomas Downey Sr (Plaintiff) Jay Forbes Hirsch Pope McGlamry Kilpatrick Morrison & Norwood 925 The Pinnacle P.O. Box 191625 3455 Peachtree Road, N.E. Atlanta, GA 31119-1625 706-324-0050 jayhirsch@pmkm.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Jane Saint Drake (Plaintiff) Paul V. Kilpatrick, III (Plaintiff) Kathleen F. Hobson Kathleen F. Hobson, LLC 1100 Poydras Street Suite 2900 #142 New Orleans, LA 70163 504-400-0163 504-324-0280 (fax) kathleen@khobson.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Brenda A Whaley (Plaintiff) Robert J Whaley (Plaintiff) Eric D Holland Holland Groves Schneller & Stolze LLC 300 North Tucker Boulevard Suite 801 St. Louis, MO 63101 314-241-8111 314-241-5554 (fax) eholland@allfela.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Ronald Walls (Plaintiff) Lynne Marie Holtkamp Holtkamp Law Firm 312 West Franklin Street Chapel Hill, NC 27516 919-960-6840 LHoltkamp@Holtkamplawfirm.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Selena Michelle Hines-Muhammad (Plaintiff) Adam T Hoover Reich Radcliffe and Kuttler LLP 4675 MacArthur Court Suite 550 Newport Beach, CA 92660 949-975-0512 949-975-0514 (fax) adhoover@reichradcliffe.com Assigned: 05/14/2010 ATTORNEY TO BE NOTICED representing Daniel Durgin (Plaintiff) Andrew J Horne Horne Law Office 517 West Ormsby Avenue Louisville, KY 40203 502-637-1222 502-587-9128 (fax) Andrew@HorneLawKy.com Assigned: 02/25/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Edgardo Soliman (Plaintiff) Ron Ellis (Plaintiff) Sylvia Gausch (Plaintiff) Sylvia Guasch (Plaintiff) Todd Allen (Plaintiff) Wilma Herrera (Plaintiff) Carolina Salvador TERMINATED: 10/27/2011 (Plaintiff) Laurie B Horvitz Finkelstein and Horvitz 7315 Wisconsin Ave Ste 400 East Bethesda, MD 20814 13019518400 13019518401 (fax) Laurieh@fandhlaw.com Assigned: 02/03/2011 TERMINATED: 04/18/2011 representing Estelle Gottesman (Plaintiff) H Franklin Hostetler, III Bowman and Brooke 879 West 190th Street, Suite 700 Gardena, CA 90248 310-768-3068 310-719-1019 (fax) frank.hostetler@lax.bowmanandbrooke.com Assigned: 04/06/2012 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Derek G Howard Minami Tamaki LLP 360 Post Street 8th Floor San Francisco, CA 94108 415-788-9000 415-398-3887 (fax) dhoward@minamitamaki.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Jean Dominguez (Plaintiff) Meetesh Shah (Plaintiff) Beverly Yip (Plaintiff) Phillip Timothy Howard Howard & Associates PA 8511 Bull Headley Road Suite 405 Tallahassee, FL 32312 850-298-4455 850-216-2537 (fax) Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Jim Heidenreich (Plaintiff) Raymond H Hua Yukevich Calfo and Cavanaugh 355 South Grand Avenue 15th Floor Los Angeles, CA 90071 213-362-7777 213-362-7788 (fax) rhua@yukelaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Denso International America, Inc., (Defendant) Denso Manufacturing Tennessee Inc TERMINATED: 07/27/2010 (Defendant) DENSCO International America (Defendant) Denso Corporation (Interested Party) Carrie L Hund Bassford Remele PA 33 South 6th Street Suite 3800 Minneapolis, MN 55402-3707 612-333-3000 612-333-8829 (fax) chund@bassford.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Fred Clayton Huntsman Bowman and Brooke LLP 2501 North Harwood Street, Suite 1700 Dallas, TX 75201 972-616-1700 972-616-1701 (fax) fred.huntsman@bowmanandbrooke.com Assigned: 05/25/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) CTS Corporation TERMINATED: 12/15/2010 (Defendant) Andrew W. Hutton Hutton & Hutton Law Firm, LLC 8100 E. 22nd St., North-Bldg. 1200 P. O. Box 638 Wichita, KS 67201-638 316-688-1166 316-686-1077 (fax) andrew.hutton@huttonlaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing H. W. Fanning (Plaintiff) Mark B. Hutton Hutton & Hutton Law Firm, LLC 8100 E. 22nd St., North-Bldg. 1200 P. O. Box 638 Wichita, KS 67201-638 316-688-1166 316-686-1077 (fax) trial.lawyers@huttonlaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing H. W. Fanning (Plaintiff) Michael F Imprevento Breit Drescher Imprevento & Walker PC 1000 Dominion Tower 999 Waterside Drive Norfolk, VA 23510 757-622-6000 757-299-8035 (fax) mimprevento@breitdrescher.com Assigned: 09/10/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Suzanne Riegel Breit TERMINATED: 04/22/2011 (Plaintiff) Renee A. Infante Waite, Schneider, Bayless & Chesley - Cincinnati 1513 Fourth & Vine Tower One West Fourth Street Cincinnati, OH 45202 513-621-0267 513-381-2375 (fax) reneeinfante@wsbclaw.com Assigned: 05/06/2011 ATTORNEY TO BE NOTICED representing Gloria Haynes (Plaintiff) Huey Pierce Haynes, II (Plaintiff) Renee Ann Infante Waite Schneider Bayless & Chesley Co LPA 1513 Fourth & Vine Tower One West Fourth Street Cincinnati, OH 45202 513-621-0267 ReneeInfante@wsbclaw.com Assigned: 03/24/2011 ATTORNEY TO BE NOTICED representing Victor Levey (Plaintiff) Jon E Ingram, Jr Tucker Everitt Long Brewton & Lanier PC PO Box 2426 Augusta, GA 30903 706-722-0771 706-722-0771 (fax) jingram@thefirm453.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Amanda Laird (Plaintiff) Christine Schara (Plaintiff) Rebecca Clifton (Plaintiff) Jose Antonio Isasi, II Greenberg Traurig, LLP 77 W. Wacker Drive Suite 3100 Chicago, IL 60601 (312) 476-5127 isasij@gtlaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Jorge M. Izquierdo-San-Miguel Izquierdo-San Miguel Law Office 261 Tanca St., 6th Floor San Juan, PR 00901 787-723-7767 / 725-4599 787-723-6964 (fax) jizquierdo@izquierdosanmiguel.com Assigned: 11/28/2011 ATTORNEY TO BE NOTICED representing Jonathan Santana (Plaintiff) Michelle Santana (Plaintiff) Karoline E. Jackson BARNES & THORNBURG LLP 11 South Meridian Street Indianapolis, IN 46204 (317) 231-7492 (317) 231-7433 (fax) kjackson@btlaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Anita Magdalena Jaskot Law Offices of Robert M Brill 880 Third Avenue 13th Floor New York, NY 10022-4730 212-752-3380 jaskot@mindspring.com Assigned: 04/27/2010 LEAD ATTORNEY ATTORNEY TO BE NOTICED representing Dr. Fred Sander (Plaintiff) Dr. Fred Sander (Plaintiff) Christian A Jenkins Minnillo & Jenkins Co., LPA 22 West 9th Street Cincinnati, OH 45202 513-723-1600 513-723-1620 (fax) cjenkins@minnillojenkins.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Tom Kunce (Plaintiff) Thomas A Jenkins Jenkins Mulligan & Gabriel LLP 10085 Carroll Canyon Road Suite 210 San Diego, CA 92131 415-982-8500 415-982-8515 (fax) tom@jmglawoffices.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Jean Dominguez (Plaintiff) Tracy M Jenks Rodey, Dickason, Sloan, Akin & Robb PO Box 1888 Albuquerque, NM 87103-1888 (505) 765-5900 Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Curtis E Jimerson Bowman and Brooke LLP 1741 Technology Drive San Jose, CA 95110 408-279-5393 408-279-5845 (fax) curtis.jimerson@bowmanandbrooke.com Assigned: 11/30/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) AAG-Las Vegas LLC (Defendant) Benjamin F Johns Chimicles & Tikellis LLP 361 West Lancaster Avenue Haverford, PA 19041 610-642-8500 610-649-3633 (fax) bfj@chimicles.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing JOSEPH B. TIBONI (Plaintiff) CESARE COSLOP, IV (Plaintiff) Nicholas S. Johnson ALLEN GUTHRIE & THOMAS P. O. Box 3394 Charleston, WV 25333-3394 304/345-7250 Assigned: 04/19/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing West Virginia, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Richard S Johnson Murphy & Murphy Law Offices 10191 Park Run Drive # 100 Las Vegas, NV 89145 702-369-9696 702-369-9630 (fax) richard@nvpilaw.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Sylvia Gausch (Plaintiff) Carolina Salvador TERMINATED: 10/27/2011 (Plaintiff) Edgardo Soliman TERMINATED: 10/27/2011 (Plaintiff) Wilma Herrera TERMINATED: 10/27/2011 (Plaintiff) Ross W Johnson FAEGRE & BENSON LLP 801 GRAND AVE SUITE 3100 DES MOINES, IA 50309-8002 515 248 9000 248 9010 (fax) rwjohnson@faegre.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Patrick T. Jones Cooley, Manion, Moore & Jones, PC 21 Custom House Street Boston, MA 02110 617-737-3100 617-737-3113 (fax) pjones@cmj-law.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Gerald Murphy (Plaintiff) Stephanie Ann Jones Alston and Bird LLP 333 S Hope Street 16th Floor Los Angeles, CA 90071 213-576-1000 213-576-1100 (fax) stephanie.jones@alston.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) David Barry Kahn David B. Kahn & Associates, Ltd. One Northfield Plaza Suite 100 Northfield, IL 60093 (847) 501-5083 dkahn@kahnlawchicago.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Susan Rifken Ltd (Plaintiff) D Scott Kalish 1468 West Ninth Street Cleveland, OH 44113 216-502-0570 216-502-0569 (fax) Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Troy Menssen (Plaintiff) Jennifer Lee Glardon (Plaintiff) Edith M Kallas Whatley Drake & Kallas LLC 380 Madison Avenue 23rd Floor New York, NY 10017 212-447-7070 212-447-7077 (fax) ekallas@wdklaw.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Renita Cipriani (Plaintiff) John Harding (Plaintiff) Theane Evangelis Kapur Gibson Dunn and Crutcher LLP 333 South Grand Avenue 45th Floor Los Angeles, CA 90071 213-229-7000 213-229-7520 (fax) tkapur@gibsondunn.com Assigned: 06/27/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant) Daniel R Karon Goldman Scarlato & Karon PC 700 West St Clair Avenue Suite 204 Cleveland, OH 44113 216-622-2995 216-241-8175 (fax) karon@gsk-law.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Richard Immerman (Plaintiff) Seth A Katz Seeger Weiss 1 William St New York, NY 10004-2502 212-584-0700 skatz@burgsimpson.com Assigned: 05/07/2010 TERMINATED: 06/29/2010 representing Don Gureski TERMINATED: 06/29/2010 (Plaintiff) Seth Alan Katz Burg, Simpson, Eldredge, Hersh & Jardine, PC-Englewood 40 Inverness Drive East Englewood, CO 80112-2866 303-792-5595 303-708-0527 (fax) skatz@burgsimpson.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Enrique Moreno TERMINATED: 06/29/2010 (Plaintiff) Ryan Scharrel TERMINATED: 06/29/2010 (Plaintiff) Susan Kruschke TERMINATED: 06/29/2010 (Plaintiff) Shelley Kaufman Geragos & Geragos 644 South Figueroa Street Los Angeles, CA 90017 213-625-3900 213-625-1600 (fax) kaufman@geragos.com Assigned: 04/30/2010 ATTORNEY TO BE NOTICED representing Akop Galadzhyan (Plaintiff) Ani Gazaryan (Plaintiff) Aza Srourian (Plaintiff) Bertam Srourian (Plaintiff) Christine Aznavour (Plaintiff) Elza Dzhivalegyan (Plaintiff) Frankie McKinney (Plaintiff) Hrayr Okkasian (Plaintiff) Karine Mazmanyan (Plaintiff) Nellie Yazitchyan (Plaintiff) Nerses Mazmanyan (Plaintiff) Svetlana Abajyan (Plaintiff) Tamara Harutyunyan (Plaintiff) Walter McKinney (Plaintiff) Troy Menssen (Plaintiff) Thomas A Kearney Kearney Alvarez LLP 633 W Fifth Street 28th Floor Los Angeles, CA 90071 213-473-1900 213-473-1919 (fax) tak@KAattorneys.com Assigned: 04/26/2010 ATTORNEY TO BE NOTICED representing SPP Inc (Plaintiff) Deluxe Holdings, Inc. (Plaintiff) Michael Jermakian (Plaintiff) Michael L Kelly Kirtland and Packard LLP 2041 Rosecrans Avenue 3rd Floor El Segundo, CA 90245 310-536-1000 310-536-1001 (fax) mlk@kirtlandpackard.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Eric Kmetz (Plaintiff) Frank Palomares (Plaintiff) Joe Morris (Plaintiff) Joseph Hauter (Plaintiff) Linda Tang (Plaintiff) Dr Aly A Mahmoud (Plaintiff) Lucinda K Mahmoud (Plaintiff) Robyn Horn (Plaintiff) Monica R Kelly Ribbeck Law Chartered 212 West Washington Street Suite 2108 Chicago, IL 60606 312-332-1908 monicakelly@ribbecklaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Hatice Hulya Yigit (Plaintiff) Laura Centeno Jimenez (Plaintiff) Rosalina Diaz (Plaintiff) Elvira Gesell (Plaintiff) Melanie Berlieb (Plaintiff) Ananda (Plaintiff) Jasni (Plaintiff) Alfredo Hernandez Barranco (Plaintiff) Catherine De Bruin (Plaintiff) Chairul Lubis (Plaintiff) Cheng Li Zhang (Plaintiff) Dawei Li (Plaintiff) Edward Syahputra (Plaintiff) Eliza Esquivel Lozano (Plaintiff) Emilio Mogollon Quintanar (Plaintiff) Ernesto Reyes Diaz (Plaintiff) Francis Joseph Coronel (Plaintiff) Gabriel Zieme-Diedrich (Plaintiff) Gonzalo Oros Villalobos (Plaintiff) Guicai Liu (Plaintiff) Gustavo Lopez (Plaintiff) Herbert Sihite (Plaintiff) Hu Jin (Plaintiff) Igoshin Vladimir Vladimirovich (Plaintiff) Lianfang Wang (Plaintiff) Lin Yang (Plaintiff) Lin Zhang (Plaintiff) Mariam Ibrahim (Plaintiff) Martha Siregar (Plaintiff) Mostfa Fahmy (Plaintiff) Nani Indriyastuti (Plaintiff) Natalia Komarova (Plaintiff) Pangihutan Simanjuntak (Plaintiff) Paul Anthony Banton (Plaintiff) Sisiliana Ridwan (Plaintiff) Susan Ong (Plaintiff) Tetti Suriati (Plaintiff) Trimurti Jazanul (Plaintiff) Valerii Kolganov (Plaintiff) Wei Guo (Plaintiff) Xiaobin Wang (Plaintiff) Yilong Liu (Plaintiff) Yiqin Zhang (Plaintiff) Zhijie Deng (Plaintiff) Augusto Panez TERMINATED: 02/23/2011 (Plaintiff) Melati Indrayani TERMINATED: 02/23/2011 (Plaintiff) John M Kelson John M Kelson Law Office 1999 Harrison Street Suite 700 Oakland, CA 94612 510-465-1326 510-465-0871 (fax) kelsonlaw@sbcglobal.net Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Karen Bickel (Plaintiff) Brian Deis (Plaintiff) Dennis L. Kennedy Bailey Kennedy 8984 Spanish Ridge Ave Las Vegas, NV 89148-1302 702-562-8820 702-562-8821 (fax) dkennedy@baileykennedy.com Assigned: 09/10/2010 ATTORNEY TO BE NOTICED representing Anthony Crespo (Plaintiff) Carole Fisher (Plaintiff) Gary Ratliff (Plaintiff) Jo Ann Parochetti (Plaintiff) Kishin Khilnani (Plaintiff) Michael Matsis (Plaintiff) Sasha Nizgoda (Plaintiff) Kara Kennedy Alston & Bird, LLP 1201 West Peachtree Street Atlanta, GA 30309 (404) 881-7000 (404) 881-7777 (fax) kara.kennedy@alston.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Todd E. Kennedy Lionel, Sawyer & Collins 300 S. Fourth St. Suite 1700 Las Vegas, NV 89101 tkennedy@lionelsawyer.com Assigned: 09/10/2010 ATTORNEY TO BE NOTICED representing AAG-Las Vegas LLC (Defendant) Findlay Automotive of Nevada, Inc (Defendant) Fletcher Jones East Sahara, Ltd., LLC (Defendant) GK Nevada LLC (Defendant) Scion of Las Vegas (Defendant) T. West Sales & Service, Inc (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Paul R Kiesel Kiesel Boucher Larson LLP 8648 Wilshire Boulevard Beverly Hills, CA 90211 310-854-4444 310-854-0812 (fax) kiesel@kbla.com Assigned: 04/15/2010 TERMINATED: 05/04/2010 representing Lisa Creighton TERMINATED: 05/04/2010 (Plaintiff) Miriam Ramirez TERMINATED: 05/04/2010 (Plaintiff) Doris A. Kim Franklin Gray & White 505 W. Ormsby Louisville, KY 40203 502-637-6000 502-637-1413 (fax) dkim@grayandwhitelaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Christopher L. Leaverton (Plaintiff) Jae Kook Kim MCune Wright LLP 2068 Orange Tree Lane Suite 216 Redlands, CA 92374 909-557-1250 909-557-1275 (fax) jkk@mccunewright.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Chris Chan Park (Plaintiff) Seong Bae Choi (Plaintiff) Mark E. King David B. Kahn & Associates, Ltd. One Northfield Plaza Suite 100 Northfield, IL 60093 877-347-4122 king@kahnlawchicago.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Susan Rifken Ltd (Plaintiff) Kerry W Kircher Office of the General Counsel US House of Representatives 219 Cannon House Office Building Washington, DC 20515-6532 202-225-9700 202-226-1360 (fax) Kerry.Kircher@mail.house.gov Assigned: 04/06/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing Committee on Energy & Commerce of the United States House of Representatives The (Movant) Ryan C Kirkpatrick Susman Godrey LLP 1901 Avenue of the Stars Suite 950 Los Angeles, CA 90067 310-789-3100 ryankirkpat@hotmail.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Kathy Boyask (Plaintiff) Roz Schwartz (Plaintiff) Meredith Heller (Plaintiff) Thomas M Klein Bowman and Brooke LLP 2901 North Central Avenue Suite 1600 Phoenix, AZ 85012 602-643-2406 602-248-0947 (fax) tom.klein@bowmanandbrooke.com Assigned: 03/24/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Corporation of U.S.A. (Defendant) Toyota Financial Services Americas Corp (Defendant) Toyota Industries Corporation (Defendant) Toyota Industries North America Inc (Defendant) Toyota Lease Trust (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor Credit Corp (Defendant) Toyota Motor Engineering (Defendant) Toyota Motor Engineering & America, Inc. (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing California, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor Manufacturing Texas, Inc. (Defendant) Toyota Motor Manufacturing West Virginia, Inc. (Defendant) Toyota Motor Manufacturing, Indiana, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota North America, Inc. (Defendant) Toyota Technical Center (Defendant) Toyota Technical Center Japan (Defendant) Toyota de Puerto Rico Corp. (Defendant) Toytoa Technical Center USA (Defendant) John W. Knottnerus Martin Bischoff Templeton Langslet & Hoffman 888 SW Fifth Avenue Suite 900 Portland, OR 97204 (503) 224-3113 (503) 224-9471 (fax) jknottnerus@martinbischoff.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Ralph I. Knowles Doffermyre, Shields, Canfield & Knowles, LLC 1355 Peachtree Street Atlanta, GA 30309 404-881-8900 404-881-3007 (fax) rknowles@dsckd.com Assigned: 05/13/2010 ATTORNEY TO BE NOTICED representing Betty Tomlin (Plaintiff) Cathy Miller (Plaintiff) Edward Skillman (Plaintiff) Joan Skillman (Plaintiff) Michael Miller (Plaintiff) Patrick Kwiatkowski (Plaintiff) Sonya Gray (Plaintiff) Steve Clemons (Plaintiff) Wayne Tomlin (Plaintiff) Michael S Koch Neblett Beard & Arsenault 2220 Bonaventurre Court PO Box 1190 Alexandria, LA 71309-1190 318-487-9874 318-561-2592 (fax) mkoch@nbalawfirm.com Assigned: 10/12/2010 ATTORNEY TO BE NOTICED representing David Gaspard (Plaintiff) Dorothy Gaspard (Plaintiff) Robyn Horn (Plaintiff) Ted M. Wedul (Plaintiff) Troy Menssen (Plaintiff) Jerry Baker Auto Sales, LLC 600 Industrial Road Sedalia, MO 65301 (Plaintiff) Paul Joseph Komyatte Gilbert, Ollanik & Komyatte, P.C. 5400 Ward Road Building IV #200 Arvada, CO 80002 303-431-1111 303-431-1633 (fax) pkomyatte@thegilbertlawgroup.com Assigned: 01/19/2011 ATTORNEY TO BE NOTICED representing Catherine Donohue (Plaintiff) Sheree A. Kon-Herrera Fukunaga Matayoshi Hershey Ching & Kop 841 Bishop St Ste 1200 Honolulu, Hi 96813 533-4300 skh@fmhc-law.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Kirsten W Konar Office of General Counsel US House of Representatives 219 Cannon House Office Building Washington, DC 20515 202-225-9700 202-226-1360 (fax) Kirsten.Konar@mail.house.gov Assigned: 04/06/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing Committee on Energy & Commerce of the United States House of Representatives The (Movant) Michael S. Korson Isaacson, Schiowitz & Korson, LLP 150 Broadway Suite 1600 New York, NY 10038 212-267-6557 x232 212-340-0365 (fax) mkorson@iskslaw.com Assigned: 11/29/2011 ATTORNEY TO BE NOTICED representing Fitzroy James (Plaintiff) David P. Kownacki David P. Kownacki, P.C. 420 Lexington Avenue Ste. 2031 New York, NY 10170 (212) 557-4190 dpk@ix.netcom.com Assigned: 06/14/2012 TERMINATED: 08/10/2012 representing Mikhail Beyn TERMINATED: 08/08/2012 (Plaintiff) Larry Kramer Stanford Law School Crown Quadrangel 559 Nathan Abbot Way Stanford, CA 94305-8610 650-723-4455 Assigned: 04/25/2011 TERMINATED: 04/25/2011 representing Toyota Corporation of U.S.A. (Defendant) Toyota Financial Services Americas Corp (Defendant) Toyota Industries Corporation (Defendant) Toyota Industries North America Inc (Defendant) Toyota Lease Trust (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor Credit Corp (Defendant) Toyota Motor Engineering (Defendant) Toyota Motor Engineering & America, Inc. (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing California, Inc. (Defendant) Toyota Motor Manufacturing Canada (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing Texas, Inc. (Defendant) Toyota Motor Manufacturing West Virginia, Inc. (Defendant) Toyota Motor Manufacturing, Indiana, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota North America, Inc. (Defendant) Toyota Technical Center (Defendant) Toyota Technical Center Japan (Defendant) Toyota Technical Center USA (Defendant) Toyota de Puerto Rico Corp. (Defendant) Toytoa Technical Center USA (Defendant) Micah Maryn (Plaintiff) Steven R. Kramer Eckert Seamans Cherin & Mellott, LLC 81 Main Street Suite 307 White Plains, NY 10601 (914)949-2909 (914)898-0083 (fax) skramer@eckertseamans.com Assigned: 11/29/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Extreme Leasing, Inc. (Defendant) Subaru of Indiana Automotive, Inc. (Defendant) Toyota Motor Credit Corp (Defendant) Toyota Motor Sales Corporation, U.S.A., Inc. (Defendant) Steven Robert Kramer Eckert, Seamans, Cherin & Mellott LLC 10 Bank Street White Plains, NY 10606 (914) 686-4800 (914) 686-4824 (fax) skramer@eckertseamans.com Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Lexus (Defendant) Toyota Motor North America, Inc. (Defendant) David Bruce Krangle Parker & Waichman 111 Great Neck Road Great Neck, NY 11021 516-466-6500 Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Peter Phaneuf (Plaintiff) Mary Michelle Kranzow Bowman & Brooke LLP 2901 N Central Ave Ste 1600 Phoenix, AZ 85012 602-643-2300 Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Robert A Krause The Spence Law firm 15 South Jackson Street Jackson, WY 83001 307-733-7290 307-733-5248 (fax) krause@spencelawyers.com Assigned: 07/08/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Cameron Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Casey Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Charley Alton Jones TERMINATED: 10/06/2011 (Plaintiff) Makenna Lloyd TERMINATED: 10/06/2011 (Plaintiff) Mark Roundy TERMINATED: 10/06/2011 (Plaintiff) Sandra Jolene Jones TERMINATED: 10/06/2011 (Plaintiff) Shirlene Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Travis Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Cameron Van Alfen (Plaintiff) Casey Van Alfen (Plaintiff) Charley Alton Jones (Plaintiff) Jolene Jones (Plaintiff) Makenna Lloyd (Plaintiff) Mark Roundy (Plaintiff) Shirlene Van Alfen (Plaintiff) Travis Van Alfen (Plaintiff) John P Kristensen Strange and Carpenter 12100 Wilshire Boulevard Suite 1900 Los Angeles, CA 90025 310-207-5055 310-826-3210 (fax) jkristensen@strangeandcarpenter.com Assigned: 05/15/2012 ATTORNEY TO BE NOTICED representing Michael Houlf (Plaintiff) Bradley D Kuhlman Kuhlman and Lucas LLC 1100 Main Street Suite 2550 Kansas City, MO 64105 816-799-0330 816-799-0336 (fax) brad@kuhlmanlucas.com Assigned: 05/11/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Patrick Mann 512 SE Wingate Street Lee's Summit, MO 64063 (Plaintiff) Tyson Markham 637 E. 72nd Terrace Kansas City, MO 64131 (Plaintiff) David Hulsen 6641 Oak Street Kansas City, MO 64113 (Plaintiff) Orin Robert Kurtz Abbey Spanier Rodd Abrams & Paradis, LLP 212 East 39th Street New York, NY 10016 (212)-889-3700 (212)-684-5191 (fax) okurtz@abbeyspanier.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Jessica M. Kramer TERMINATED: 05/04/2010 (Plaintiff) Barbara Iglesias (Plaintiff) Noah H. Kushlefsky Kreindler & Kreindler LLP 750 Third Avenue New York, NY 10017 212-687-8181 nkushlefsky@kreindler.com Assigned: 07/19/2011 ATTORNEY TO BE NOTICED representing Sang Seok Na (Plaintiff) Andrew R Kwiatkowski Dinsmore & Shohl -1 1900 Chemed Center 255 East Fifth Street Cincinnati, OH 45202 513-977-8200 513-977-8680 (fax) andrew.kwiatkowski@dinslaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Beechmont Toyota, Inc. (Defendant) Toyota Lease Trust (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Clyde Dyson (Defendant) FREDERIC GERSON LEVIN LEVIN PAPANTONIO THOMAS ETC - PENSACOLA FL 316 S BAYLEN ST - STE 600 PENSACOLA, FL 32501-5996 850-435-7123 850-436-6123 (fax) dgilbert@levinlaw.com Assigned: 05/07/2010 representing Justin K Johnson TERMINATED: 08/18/2010 (Plaintiff) Michael Phillip Lalli Silverman & Fodera PC 1835 Market Street Suite 2600 Philadelphia, PA 19103 215-561-2100 215-561-0190 (fax) mlalli@civilrights.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing FRANCINE GUOKAS (Plaintiff) Lisa M Lamb Barrack Rodos and Bacine 2001 Market Street Suite 3300 Philadelphia, PA 19103 215-963-0600 619-963-0838 (fax) llamb@barrack.com Assigned: 05/05/2010 ATTORNEY TO BE NOTICED representing Carol Ann Henderson (Plaintiff) Joseph J. Boppre (Plaintiff) Nancy L. Boppre (Plaintiff) Hugh Palmer Lambert Lambert & Nelson 701 Magazine Street New Orleans, LA 70130 504-581-1750 504-529-2931 (fax) hlambert@lambertandnelson.com Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Amanda R Maillho (Plaintiff) Ann Cavalier (Plaintiff) Colby Wenck (Plaintiff) Daniel Weimer, Jr. (Plaintiff) Gary T Brock (Plaintiff) Jon J Lambiras Berger & Montague PC 1622 Locust Street Philadelphia, PA 19103 215-875-3000 215-875-4636 (fax) jlambiras@bm.net Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Kathy Boyask (Plaintiff) Roz Schwartz (Plaintiff) Robert Aaron Langendorf Robert A. Langendorf and Associates 134 North LaSalle Street Suite 1515 Chicago, IL 60602 (312) 782-5933 rlangendorf@comcast.net Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Willette Green (Plaintiff) Robert Aaron Langendorf Robert A. Langendorf and Associates 134 North LaSalle Street Suite 1515 Chicago, IL 60602 (312) 782-5933 rlangendorf@comcast.net Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Ed Izenstark (Plaintiff) W Mark Lanier The Lanier Law Firm PC 6810 FM 1960 West Houston, TX 77069 713-659-5200 713-659-2204 (fax) wml@lanierlawfirm.com Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Catherine Nguyen (Plaintiff) Malina Salvador (Plaintiff) T Leigh Beard (Plaintiff) Carolyn C Wachtel (Plaintiff) Thomas Lee Wachtel, MD (Plaintiff) Charles Turner (Plaintiff) Gene Peay Darrah (Plaintiff) Holly Sue Knighton (Plaintiff) Paul Richard Knighton (Plaintiff) Philip James Darrah (Plaintiff) David Ross (Plaintiff) Tanya Ross (Plaintiff) Clayton Q Aukland (Plaintiff) Romanus Akamike (Plaintiff) James Schreckengost Sr TERMINATED: 09/24/2010 (Plaintiff) Patricia Schreckengost TERMINATED: 09/24/2010 (Plaintiff) Beverly Ann Martell (Plaintiff) Mike Martell (Plaintiff) Ann Snider (Plaintiff) Dennis Snider (Plaintiff) Gayle R Barrett (Plaintiff) Daniel Lapinski Wilentz Goldman and Spitzer 90 Woodbridge Center Drive, Suite 900 P O Box 10 Woodbridge, NJ 07095-0958 732-636-8000 dlapinski@wilentz.com Assigned: 05/25/2011 ATTORNEY TO BE NOTICED representing CARLISLE B. KINKADE (Plaintiff) GENE KINKADE (Plaintiff) NANCY BOEHM (Plaintiff) Stephen Gerard Larson 215 West 20th Street Upland, CA 91784 951-255-1220 larson.stephen@arentfox.com Assigned: 04/26/2010 TERMINATED: 10/14/2010 representing Lu Li TERMINATED: 05/04/2010 (Plaintiff) Maureen Colaberdino (Plaintiff) Steve D. Larson Stoll Stoll Berne Lokting & Shlachter 209 SW Oak Street 5th Floor Portland, OR 97204 (503) 227-1600 (503) 227-6840 (fax) slarson@stollberne.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Timothy John Vanagas (Plaintiff) Laurence Alan Lasky Lasky & Scharrer 130 W Second Street Suite 830 Dayton, OH 45402 937-222-6699 937-226-0060 (fax) laskylaw@sbcglobal.net Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Solomon Harbor (Plaintiff) William H Latham Nelson Mullins Riley & Scarborough LLP 1320 Main Street 17th Floor Columbia, SC 29201 803-799-2000 803-256-7500 (fax) bill.latham@nelsonmullins.com Assigned: 07/01/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Christopher Lavorato Lavorato House Chilton & Lavorato 310 Capital Street Salinas, CA 93901 831-758-2786 831-758-0566 (fax) clavorato@cpmlegal.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Dawn De Vincenzi (Plaintiff) Sam A Lavorato Lavorato House Chilton and Lavorato 310 Capital Street PO Box 2112 Salinas, CA 93901 831-758-2786 jkeaton@lavohouse.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Dawn De Vincenzi (Plaintiff) J Burton LeBlanc, IV Baron & Budd PC 9015 Bluebonnet Boulevard Baton Rouge, LA 70810 225-927-5441 225-927-5449 (fax) bleblanc@baronbudd.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Jennifer Wendy Burke (Plaintiff) Suzette L. Farrelly (Plaintiff) Timothy P. Farrelly (Plaintiff) Don K Ledgard Capretz and Associates West Tower 5000 Birch Street Suite 2500 Newport Beach, CA 92660 949-724-3000 949-757-2635 (fax) dledgard@capretz.com Assigned: 05/05/2010 ATTORNEY TO BE NOTICED representing Kelley W. Dion (Plaintiff) William Dean Ledoux, Jr. Eckert Seamans Cherin & Mellott LLC (DC) 1717 Pennsylvania Ave NW 12th Floor Washington, DC 20006 202-659-6609 202-659-6699 (fax) wledoux@eckertseamans.com Assigned: 07/27/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Jack W Lee Minami Tamaki LLP 360 Post Street 8th Floor San Francisco, CA 94108 415-788-9000 415-398-3887 (fax) jlee@minamitamaki.com Assigned: 04/26/2010 ATTORNEY TO BE NOTICED representing Beverly Yip (Plaintiff) Larry W Lee Diversity Law Group APC 550 South Hope Street Suite 2655 Los Angeles, CA 90071 213-488-6555 213-488-6554 (fax) lwlee@diversitylaw.com Assigned: 05/14/2010 ATTORNEY TO BE NOTICED representing Brenda E. Burack (Plaintiff) Phillip R. King (Plaintiff) Stephen I. Burack (Plaintiff) Andrew D. Leftt David P. Kownacki, P.C. 420 Lexington Avenue Suite 2031 New York, Ny New York, NY 10170 212-557-4190 212-557-4188 (fax) aleftt@aol.com Assigned: 06/14/2012 TERMINATED: 08/10/2012 representing Mikhail Beyn TERMINATED: 08/08/2012 (Plaintiff) Bradley L Leger Leger Adkins 2323 S Shephard Drive Suite 915 Houston, TX 77019 713-574-5558 bleger@legeradkins.com Assigned: 01/19/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Benjamin L Carriere (Plaintiff) Jennifer Rose Carriere (Plaintiff) Jordan M Carriere (Plaintiff) Walter John Leger, III Leger & Shaw (New Orleans) 600 Carondelet Street 9th Floor New Orleans, LA 70130 504-588-9043 (504) 588-9980 (fax) wleger3@legershaw.com Assigned: 12/16/2010 TERMINATED: 05/24/2011 representing Michael Miranda 2013 Angela Street Arabi, LA 70032 TERMINATED: 08/12/2011 (Plaintiff) Walter John Leger, Jr. Leger & Shaw (New Orleans) 600 Carondelet Street 9th Floor New Orleans, LA 70130 504-588-9043 504-588-9980 (fax) wleger@legershaw.com Assigned: 12/16/2010 TERMINATED: 05/24/2011 representing Michael Miranda 2013 Angela Street Arabi, LA 70032 TERMINATED: 08/12/2011 (Plaintiff) Joe P Leniski Branstetter Stranch & Jennings PLLC 227 Second Avenue North Fourth Floor Nashville, TN 37201-1631 615-254-8801 615-250-3937 (fax) jleniski@branstetterlaw.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Gary Brown (Plaintiff) James Peterschmidt TERMINATED: 09/25/2012 (Plaintiff) Kathy Kallenbach TERMINATED: 09/25/2012 (Plaintiff) Charles T Lester, Jr Charles T. Lester, Jr., Attorney at Law PO Box 75069 Fort Thomas, KY 41075-0069 859-781-2406 859-486-6590 (fax) cteljr@fuse.net Assigned: 04/12/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Amy Smith Roth (Plaintiff) Angela Boles (Plaintiff) Debra Poynter (Plaintiff) Fran Preedom (Plaintiff) Krystal Eggerding (Plaintiff) Laurie Chambers (Plaintiff) Lucero Davidson (Plaintiff) Mark Davidson (Plaintiff) Ron Poynter (Plaintiff) Tina Preedom (Plaintiff) Micah Maryn (Plaintiff) Howard Scott Leviant Spiro Moore LLP 11377 West Olympic Boulevard 5th Floor Los Angeles, CA 90064 310-235-2468 310-235-2456 (fax) scott@spiromoore.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Dale Baldisseri (Plaintiff) Arnold Levin Levin Fishbein Sedran & Berman 510 Walnut St Ste 500 Philadelphia, PA 19106 215-592-1500 alevin@lfsblaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Mary Ferrara (Plaintiff) Daniel C Levin Levin Fishbein Sedran & Berman 510 Walnut Street Suite 500 Philadelphia, PA 19106 215-592-1500 215-592-4663 (fax) dlevin@lfsblaw.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Mary Ferrara (Plaintiff) Irwin B Levin Cohen & Malad LLP One Indiana Square, Suite 1400 Indianapolis, IN 46204 317-636-6481 317-636-2593 (fax) ilevin@cohenandmalad.com Assigned: 04/30/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Judith M Enderle (Plaintiff) Robert B Levin Shapiro Sher Guinot and Sandler 36 S Charles St Ste 2000 Baltimore, MD 21201 14103854287 14105397611 (fax) rbl@shapirosher.com Assigned: 10/05/2012 ATTORNEY TO BE NOTICED representing Dorothy Fisher Weed (Plaintiff) Perry Lewis Weed (Plaintiff) A. Camden Lewis Lewis & Babcock P.O. Box 11208 Columbia, SC 29211 803-771-8000 acl@lewisbabcock.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Alex Farrugia (Plaintiff) Barbara Jackson (Plaintiff) Daniel D Lee (Plaintiff) Kevin P Fogarty (Plaintiff) Arthur Camden Lewis Lewis & Babcock LLP 1513 Hampton Street Columbia, SC 29201 803-771-8000 803-733-3534 (fax) acl@lewisbabcock.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Elaine Byrnes (Plaintiff) Linda Alford Wooten (Plaintiff) Aron K Liang Cotchett Pitre & McCarthy San Francisco Airport Office Center 840 Malcolm Road Suite 200 Burlingame, CA 94010 650-697-6000 650-697-0577 (fax) aliang@cpmlegal.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Green Spot Motors Co (Plaintiff) Daniel Boudreault (Plaintiff) Daniel Hamilton (Plaintiff) Richard A Lockridge Lockridge Grindal Nauen PLLP 100 Washington Avenue South Suite 2200 Minneapolis, MN 55401 612-339-6900 612-399-0981 (fax) ralockridge@locklaw.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Alyson L. Oliver (Plaintiff) Michael A London Douglas & London 111 John Street Suite 1400 New York, NY 10038 212-566-7500 212-566-7501 (fax) mlondon@douglasandlondon.com Assigned: 04/12/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Margaret Gonzales (Plaintiff) Peter Phaneuf (Plaintiff) Christine Carr (Plaintiff) Lena Gally (Plaintiff) Sarah R London Lieff Cabraser Heimann and Bernstein 275 Battery Street 29th Floor San Francisco, CA 94111 415-956-1000 415-956-1008 (fax) slondon@lchb.com Assigned: 08/30/2010 ATTORNEY TO BE NOTICED representing Carol Hatzman TERMINATED: 09/28/2010 (Plaintiff) Dwayne Watkins, Jr. (Plaintiff) Eduardo Recinos (Plaintiff) Rosario Garcia (Plaintiff) Deborah Mayton (Plaintiff) Thomas Mayton (Plaintiff) Demetrice Bibbins (Plaintiff) Paul Spisto (Plaintiff) Geraldine Haddad (Plaintiff) Carlos Espino TERMINATED: 11/21/2011 (Plaintiff) Howard Sportsman (Plaintiff) Margaret Bocskor (Plaintiff) Margaret Daly (Plaintiff) Margaret Sportsman (Plaintiff) Michael Daly (Plaintiff) William Givens, II (Plaintiff) Thelma Sue Jude (Plaintiff) Ida Starr St John (Plaintiff) Walter Scott Tarter (Plaintiff) Larissa Parker (Plaintiff) Dennis Sowders (Plaintiff) Margaret Sowders (Plaintiff) Cathy Whitaker (Plaintiff) Robert P Lorea Bailey & Glasser LLP 209 Capitoal Street Charleston, WV 25301 304-345-6555 304-342-1110 (fax) rlorea@baileyglasser.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Elaine Byrnes (Plaintiff) Jeff Mullins (Plaintiff) Michael Graves (Plaintiff) Michael C Graves (Plaintiff) Daniel D Lee (Plaintiff) Linda Alford Wooten (Plaintiff) Narcisso Pimentel (Plaintiff) Sosima Pimentel (Plaintiff) Robert P. Lorea BAILEY & GLASSER 209 Capitol Street Charleston, WV 25301-1386 304-345-6555 304-342-1110 (fax) rlorea@baileyglasser.com Assigned: 09/27/2012 ATTORNEY TO BE NOTICED representing Harlee D. Jones (Plaintiff) Kevin Bruce Love Criden & Love PA 7301 SW 57th Court Suite 515 South Miami, FL 33134 305-357-9000 357-9050 (fax) klove@cridenlove.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Edward Siff (Plaintiff) Merna Siff (Plaintiff) Ricardo Samper (Plaintiff) Dewitt M. Lovelace Lovelace Law Firm, P.A. Post Office Box 6205 Destin, FL 32550-6205 850-837-6020 courtdocs@lovelacelaw.com Assigned: 05/10/2010 ATTORNEY TO BE NOTICED representing Julie Rainwater (Plaintiff) Wayne S. Harris (Plaintiff) Edwin L Lowther, Jr Wright Lindsey and Jennings 200 West Capitol Avenue, Suite 2300 Little Rock, AR 72201-3699 501-371-0808 elowther@wlj.com Assigned: 05/10/2010 ATTORNEY TO BE NOTICED representing Toyota Industries North America Inc (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Edwin L. Lowther, Jr. Wright, Lindsey & Jennings - Little Rock 200 West Capitol Avenue Suite 2300 Little Rock, AR 72201-3699 (501) 371-0808 elowther@wlj.com Assigned: 06/14/2012 ATTORNEY TO BE NOTICED representing Toyota Motor North America, Inc. (Defendant) John A Lowther, IV Doyle Lowther LLP 10200 Willow Creek Road Suite 150 San Diego, CA 92131 858-935-9960 858-939-1939 (fax) john@doylelowther.com Assigned: 05/06/2010 ATTORNEY TO BE NOTICED representing James Peterschmidt TERMINATED: 09/25/2012 (Plaintiff) Kathy Kallenbach TERMINATED: 09/25/2012 (Plaintiff) Chad Cameron Lucas Kuhlman Law Firm, LLC 1100 Main St. Ste. 2550 Kansas City, MO 64105 (816) 799-0330 816-799-0336 (fax) chad@kuhlman-law.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Christina Ochs (Plaintiff) S. Firgon (Plaintiff) Patrick Mann 512 SE Wingate Street Lee's Summit, MO 64063 (Plaintiff) Tyson Markham 637 E. 72nd Terrace Kansas City, MO 64131 (Plaintiff) David Hulsen 6641 Oak Street Kansas City, MO 64113 (Plaintiff) Shannon Lukei Robinson Calcagnie Robinson Shapiro Davis Inc 19 Corporate Plaza Drive Newport Beach, CA 92660 949-720-1288 949-720-1292 (fax) slukei@rcrlaw.net Assigned: 08/04/2010 ATTORNEY TO BE NOTICED representing Raliegh Scott (Plaintiff) Saundra Hill Scott (Plaintiff) David Beardsley (Plaintiff) Lynda Bisseger (Plaintiff) Christine Fogh (Plaintiff) Stephanie Cedillo (Plaintiff) Joseph R Graybeal (Plaintiff) Patricia B Graybeal (Plaintiff) Jordan L Lurie Capstone Law APC 1840 Centurey Park East Suite 450 Los Angeles, CA 90067 310-556-4811 310-943-0396 (fax) Jordan.Lurie@capstonelawyers.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Sam Goldberger (Plaintiff) Douglas Scott Lyons Lyons & Farrar PA 325 North Calhoun Street Tallahassee, FL 32301 850-222-8811 850-222-5583 (fax) doug_lyons@comcast.net Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Jim Heidenreich (Plaintiff) Georgiy B Lyudyno Ronald A Marron Law Offices APLC 3636 Fouth Avenue Suite 202 San Diego, CA 92103 619-696-9006 619-564-6665 (fax) gLyudy1@gmail.com Assigned: 04/26/2010 ATTORNEY TO BE NOTICED representing Curtis McCleskey (Plaintiff) Jackie McCleskey (Plaintiff) Samuel D Madia Flaherty Sensabaugh and Bonasso P. O. Box 3843 Charleston, WV 25338-3843 304-345-0200 304-345-0260 (fax) smadia@fsblaw.com Assigned: 07/09/2012 ATTORNEY TO BE NOTICED representing Denso International America, Inc., (Defendant) Barbara M Mahoney Hagens Berman Sobol Shapiro LLP 1918 Eighth Avenue Suite 3300 Seattle, WA 98101 206-623-7292 206-623-0594 (fax) barbaram@hbsslaw.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Christine Hotaling (Plaintiff) Donald Graham (Plaintiff) Ebony Brown (Plaintiff) Elizabeth Van Zyl (Plaintiff) Gary Davis (Plaintiff) Henry Troup (Plaintiff) Linda Summerville (Plaintiff) Robert Navarro (Plaintiff) Rodney Josephson (Plaintiff) Thomas E. Gudmundson (Plaintiff) Veronica Troup (Plaintiff) John Flook TERMINATED: 01/30/2012 (Plaintiff) Dana Clark Weller (Plaintiff) Douglas W Weller (Plaintiff) Michael L Mallow Loeb & Loeb LLP 10100 Santa Monica Boulevard Suite 2200 Los Angeles, CA 90067 310-282-2287 310-919-3883 (fax) mmallow@loeb.com Assigned: 04/15/2010 TERMINATED: 05/06/2010 representing Toyota Motor Corporation (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Roger L Mandel Lackey Hershman LLP 3102 Oak Lawn Avenue Suite 777 Dallas, TX 75219 214-560-2232 214-560-2203 (fax) rlm@lhlaw.net Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Jay Brandt (Plaintiff) Alan M Mansfield The Consumer Law Group 10200 Willow Creek Road Suite 160 San Diego, CA 92131 619-308-5034 888-341-5048 (fax) alan@clgca.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Kevin Funez (Plaintiff) Lacey Laudicina (Plaintiff) Nathan J Marcusen Bowman and Brooke LLP 150 South Fifth Street Suite 3000 Minneapolis, MN 55402 612-339-8682 612-672-3200 (fax) nathan.marcusen@bowmanandbrooke.com Assigned: 04/30/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Angela G Mariveles Bowman & Brooke LLP 1741 Technology Drive Suite 200 San Jose, CA 95110 408-279-5393 408-279-5845 (fax) angela.mariveles@bowmanandbrooke.com Assigned: 08/06/2012 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Wilbert Benjamin Markovits Markovits, Stock & DeMarco LLC 119 East Court Street, Suite 530 Cincinnati, OH 45202 513-651-3700 bmarkovits@msdlegal.com Assigned: 05/14/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Honorable Paul Turner (Plaintiff) Allan L Weller (Plaintiff) Brenda Shonfield (Plaintiff) Connie Kamphaus (Plaintiff) Erica Thomas (Plaintiff) Ernestine Montgomery (Plaintiff) Holly Boyd (Plaintiff) Hugh W Cox (Plaintiff) Kyle Briggs (Plaintiff) Lee Shonfield (Plaintiff) Lori S Trahan (Plaintiff) Pamela M Cox (Plaintiff) Shalini Ignatenkov (Plaintiff) Thomas A Trahan (Plaintiff) Charles Gibbens TERMINATED: 03/23/2011 (Plaintiff) Karen Gibbens TERMINATED: 03/23/2011 (Plaintiff) Al Viviano TERMINATED: 03/31/2011 (Plaintiff) Jo Anna Viviano TERMINATED: 03/31/2011 (Plaintiff) Thomas Kamphaus TERMINATED: 03/31/2011 (Plaintiff) Cornelia Neely (Plaintiff) Albert Bosse (Plaintiff) Wanda Bosse (Plaintiff) Gloria Haynes (Plaintiff) Huey Pierce Haynes, II (Plaintiff) Juliet A Markowitz Tatro Tekosky Sadwick LLP 333 South Grand Avenue Suite 4270 Los Angeles, CA 90071 213-225-7171 213-225-7151 (fax) jmarkowitz@ttsmlaw.com Assigned: 07/13/2012 ATTORNEY TO BE NOTICED representing Sean Kane (ThirdParty Plaintiff) James F. Marrion Pietragallo Gordon Alfano Bosick & Raspanti, LLP One Oxford Centre 38th Floor Pittsburgh, PA 15219 (412) 263-2000 (412) 261-5295 (fax) jfm@pbandg.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Ronald A Marron Ronald A Marron Law Offices 3636 Fourth Avenue Suite 202 San Diego, CA 92103 619-696-9066 619-564-6665 (fax) ron@consumersadvocates.com Assigned: 04/26/2010 ATTORNEY TO BE NOTICED representing Curtis McCleskey (Plaintiff) Jackie McCleskey (Plaintiff) Greg W Marsh Greg W Marsh Law Offices 731 South Seventh Street Las Vegas, NV 89101 702-387-0052 702-387-0063 (fax) Assigned: 09/09/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Lexus of Las Vegas (Defendant) Toyota Motor Corporation (Defendant) De Martenson HUIE FERNAMBUCQ & STEWART LLP Three Protective Center 2801 Highway 280 South, Suite 200 Birmingham, AL 35223-2484 205-251-1193 205-251-1256 (fax) dm@hfsllp.com Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Meghan W Martinez Meghan W Martinez Law Offices 410 Seventeenth Street, 22nd Floor Denver, CO 80202 303-223-1133 mmartinez@bhf-law.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Elizabeth Seu (Plaintiff) Kelly M Marzullo DLA Piper US LLP 6225 Smith Avenue Baltimore, MD 21209 1410-580-3000 1410-580-3001 (fax) kelly.marzullo@dlapiper.com Assigned: 09/09/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Brian K Matise Burg Simpson 40 Inverness Drive East Englewood, CO 80112 303-792-5595 303-708-0527 (fax) bmatise@burgsimpson.com Assigned: 05/07/2010 representing Roy Nelson TERMINATED: 06/29/2010 (Plaintiff) Thomas D Mauriello Mauriello Law Firm APC 1181 Puerta Del Sol Suite 120 San Clemente, CA 92673 949-542-3555 949-606-9690 (fax) tomm@maurlaw.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Kevin Funez (Plaintiff) Lacey Laudicina (Plaintiff) Brian Nolan Mazzola The Mazzola Law Firm PLLC 4320 Calder Avenue Beaumont, TX 77706 409-898-0690 409-898-1394 (fax) bmazzola@mazzolalawfirm.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Frank Whiddon (Plaintiff) Sarah C McBride Lewis, King, Krieg & Waldrop, P.C. (Knox) One Centre Square 620 Market Street, 5th Floor Knoxville, TN 37902 865-546-4646 865-523-6529 (fax) smcbride@lewisking.com Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Sarah C McBride Lewis, King, Krieg & Waldrop, P.C. (Knox) One Centre Square 620 Market Street, 5th Floor Knoxville, TN 37902 865-546-4646 865-523-6529 (fax) smcbride@lewisking.com Assigned: 09/27/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Lee C. (Kit) McCahren Olinger, Lovald, McCahren & Reimers PO Box 66 Pierre, SD 57501 (605) 224-8851 (605) 224-8269 (fax) Assigned: 01/17/2012 ATTORNEY TO BE NOTICED representing Crystal Gilmore (Plaintiff) Ron McClelland (Plaintiff) Andrea C McCarthy Yukevich Calfo and Cavanaugh 355 South Grand Avenue 15th Floor Los Angeles, CA 90071 213-362-7777 213-362-7788 (fax) acmccarthy@yukelaw.com Assigned: 11/27/2012 ATTORNEY TO BE NOTICED representing Denso International America, Inc., (Defendant) Terence Eugene McCartney Rheingold,Valet, Rheingold, Shkolnik & McCartney, LLP 113 East 37th Street New York, NY 10016-3042 (212)-684-1880 (212)-689-8156 (fax) tmccartney@rheingoldlaw.com Assigned: 12/13/2011 ATTORNEY TO BE NOTICED representing Adeniyi Toriola (Plaintiff) Amelfis Rojas (Plaintiff) Linda Graham (Plaintiff) Ralph Wetherington (Plaintiff) Terrence E McCartney Reingold Valet Rheingold Shkolnik & McCartney 113 E 37th St New York, NY 10016-3042 212-684-1880 tmccartney@rheingoldlaw.com Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Judith Weinberger (Plaintiff) Richard Weinberger (Plaintiff) Alice Thall (Plaintiff) Catherine Lebson (Plaintiff) Richard Thall (Plaintiff) Janice Feaster (Plaintiff) Sean Maxwell (Plaintiff) Shaida Tavakoli (Plaintiff) Darren L McCarty Alston and Bird LLP 2200 Ross Avenue Suite 3601 Dallas, TX 75201 214-922-3414 214-922-3854 (fax) Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Bradley D McCormack The Sader Law Firm 4739 Belleview Avenue Suite 300 Kansas City, MO 64112 816-561-1818 bmccormack@saderlawfirm.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Aaron Austin (Plaintiff) Cathy Cisetti (Plaintiff) May Zhang (Plaintiff) Rhea Rodgers (Plaintiff) Ruth Shechter (Plaintiff) Brian J McCormick, Jr Sheller PC 1528 Walnut Street 3rd Floor Philadelphia, PA 19102 215-790-7300 215-546-0942 (fax) bjmccormick@sheller.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Cheryl Abken (Plaintiff) Frederick Greisiger (Plaintiff) Keith Sealing (Plaintiff) Sandra Valdez (Plaintiff) SYBIL REICHECK (Plaintiff) MORTON REICHEK TERMINATED: 12/12/2012 (Plaintiff) CHRISTINE L. PERSONS (Plaintiff) MICHAEL PIOTROWICZ (Plaintiff) Amy S Reichek (Plaintiff) Richard D McCune, Jr McCune Wright LLP 2068 Orange Tree Lane Suite 216 Redlands, CA 92374-4555 909-557-1250 909 557 1275 (fax) ece@mccunewright.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Chris Chan Park (Plaintiff) Donald Pritchett (Plaintiff) Mary Ann Parker (Plaintiff) Seong Bae Choi (Plaintiff) Un Jin Choi (Plaintiff) Sandra Reech TERMINATED: 03/23/2011 (Plaintiff) Brenda E. Burack (Plaintiff) Phillip R. King (Plaintiff) Stephen I. Burack (Plaintiff) Michael Lee McGlamry Pope McGlamry Kilpatrick Morrison & Norwood 925 The Pinnacle P.O. Box 191625 3455 Peachtree Road, N.E. Atlanta, GA 31119-1625 404-523-7706 mmcglamry@pmkm.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Jane Saint Drake (Plaintiff) Paul V. Kilpatrick, III (Plaintiff) Deborah B. McIlhenny Hutton & Hutton Law Firm, LLC 8100 E. 22nd St., North-Bldg. 1200 P. O. Box 638 Wichita, KS 67201-638 316-688-1166 316-686-1077 (fax) debs.mcilhenny@huttonlaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing H. W. Fanning (Plaintiff) Lorraine Perkins McInnis McGlinchey Stafford, PLLC (New Orleans) 601 Poydras St. 12th Floor New Orleans, LA 70130 504-586-1200 lmcinnis@mcglinchey.com Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) LeBlanc Automobiles Inc., L.L.C. TERMINATED: 10/27/2011 (Defendant) Steven A McKelvey Nelson Mullins Riley & Scarborough LLP 1320 Main Street 17th Floor Columbia, SC 29201 803-799-2000 803-256-7500 (fax) steve.mckelvey@nelsonmullins.com Assigned: 07/01/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Daniel Ellis McKenzie Burg, Simpson, Eldredge, Hersh & Jardine, PC-Englewood 40 Inverness Drive East Englewood, CO 80112-2866 303-792-5595 303-708-0527 (fax) dmckenzie@burgsimpson.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Ryan Scharrel TERMINATED: 06/29/2010 (Plaintiff) Anna S McLean Sheppard Mullin Richter and Hampton LLP Four Embarcadero Center 17th Floor San Francisco, CA 94111-4109 415-434-9100 415-434-3947 (fax) amclean@sheppardmullin.com Assigned: 04/12/2010 ATTORNEY TO BE NOTICED representing Toyota Lease Trust (Defendant) Toyota Motor Credit Corp (Defendant) Michael G McLellan Finkelstein Thompson and Loughran 1050 30th Street Northwest Washington, DC 20007 202-337-8000 mmclellan@finkelsteinthompson.com Assigned: 05/05/2010 ATTORNEY TO BE NOTICED representing Charles Saba (Plaintiff) Robyn Saba (Plaintiff) Micah Maryn (Plaintiff) Sarah Elizabeth McMillan McGlinchey Stafford, PLLC (New Orleans) 601 Poydras St. 12th Floor New Orleans, LA 70130 504-579-9555 semcmillan@mcglinchey.com Assigned: 09/07/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) John W. McTiernan Caroselli Beachler McTiernan & Conboy 20 Stanwix Street Seventh Floor Pittsburgh, PA 15222 412-391-9860 412-391-7453 (fax) jmctiernan@cbmclaw.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Lisa A. Labar (Plaintiff) Patricia Ann Meester Franklin D Azar & Associates PC 930 Eagleridge Blvd Pueblo, CO 81008 719-544-8000 meesterp@fdazar.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Robert Smyser (Plaintiff) Kristin Ann Meister Alston & Bird, LLP(NYC) 90 Park Avenue New York, NY 10016 (212) 210-9400 x9464 Assigned: 05/11/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Renee M Melancon Baron & Budd PC 3102 Oak Lawn Avenue, Suite 1100 Dallas, TX 75219 214-521-3605 Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Rhonda Talbot (Plaintiff) Jennifer Wendy Burke (Plaintiff) Suzette L. Farrelly (Plaintiff) Timothy P. Farrelly (Plaintiff) Joseph Carter Melugin Fibich Hampton Leebron Briggs & Josephson LLP 1150 Bissonnet Street Houston, TX 77005 713-751-0025 713-751-0030 (fax) jmelugin@fhl-law.com Assigned: 01/10/2011 ATTORNEY TO BE NOTICED representing Cordarro Guillory (Plaintiff) Jessie Guillory (Plaintiff) Suzanne Green Meredith Bowman & Brook LLP 2501 North Haskell Avenue Suite 1700 Dallas, TX 75201 972-616-1700 972-616-1701 (fax) suzanne.meredith@bowmanandbrooke.com Assigned: 05/25/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Corporation of U.S.A. (Defendant) Toyota Motor Manufacturing Texas, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Ashley E Merlo Hodel Briggs Winter LLP 8105 Irvine Center Drive, Suite 1400 Irvine, CA 92618 949-450-4436 949-450-8033 (fax) amerlo@hbwllp.com Assigned: 08/04/2011 TERMINATED: 08/04/2011 representing Toyota Motor Credit Corp (Defendant) William R H Merrill Susman Godfrey LLP 1000 Louisiana Suite 5100 Houston, TX 77002-5096 713-653-7865 713-654-6665 (fax) bmerrill@susmangodfrey.com Assigned: 02/23/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Meredith Heller (Plaintiff) Jonthan D. Mester Nurenberg, Paris, Heller & McCarthy 1370 Ontario Street 1st Floor Cleveland, OH 44113 216-621-2300 216-771-2242 (fax) docket@nphm.com Assigned: 11/26/2012 ATTORNEY TO BE NOTICED representing Brian Caya (Plaintiff) Michelle Stowe Caya (Plaintiff) Gerald Edward Meunier Gainsburgh, Benjamin, David, Meunier & Warshauer Energy Centre 1100 Poydras St. Suite 2800 New Orleans, LA 70163-2800 504-522-2304 504-528-9973 (fax) gmeunier@gainsben.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Robert Stephen McKinney (Plaintiff) Robert L. Samuels (Plaintiff) J Andrew Meyer Morgan & Morgan, PA 201 North Franklin Street 7th Floor Tampa, FL 33602 813-223-5505 813-223-5402 (fax) ameyer@forthepeople.com Assigned: 04/12/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Michelle Lynch (Plaintiff) Kathryn Ashley Meyers Lewis Tein PL 3059 Grand Avenue Suite 340 Coconut Grov, FL 33133-5166 305-442-1101 305-442-6744 (fax) Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Christopher P Midura Sterns and Weinroth PC 50 West State Street Suite 1400 Trenton, NJ 08607 609-989-5035 609-392-7956 (fax) cmidura@sternslaw.com Assigned: 12/19/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing BEVERLY MORGAN (Plaintiff) Craig S. Mielke Foote, Meyers, Mielke, & Flowers, LLC 3 North Second Street Suite 300 St. Charles, IL 60174 (630) 232-6333 csm@foote-meyers.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing DEISY F TOLEDO (Plaintiff) W Daniel Miles, III Beasley Allen Crow Methvin Portis & Miles PC 272 Commerice Street PO Box 4160 Montgomery, AL 36103 334-269-2343 334-954-7555 (fax) dee.miles@beasleyallen.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Kevin Funez (Plaintiff) Lacey Laudicina (Plaintiff) Renita Cipriani (Plaintiff) John Harding (Plaintiff) Arlene S. Heilbrunn (Plaintiff) Renita Cipriani (Plaintiff) Viviane Stoller (Plaintiff) Howard B Miller Girardi & Keese LLP 1126 Wilshire Boulevard Los Angeles, CA 90017-1904 213-977-0211 213-481-1554 (fax) hmiller@girardikeese.com Assigned: 04/26/2010 ATTORNEY TO BE NOTICED representing Lu Li TERMINATED: 05/04/2010 (Plaintiff) Maureen Colaberdino (Plaintiff) Marvin - NA Miller Not Admitted Assigned: 06/04/2010 TERMINATED: 08/03/2010 representing James Michael Bell (Plaintiff) Mike Miller Solberg Stewart Miller 1123 5th Ave S P O Box 1897 Fargo, ND 58107-1897 701-237-3166 701-237-4627 (fax) mjm@solberglaw.com Assigned: 06/21/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Dale Karjala (Plaintiff) Mark Fraase (Plaintiff) Richard A Mincer HIRST & APPLEGATE P O Box 1083 Cheyenne, WY 82003-1083 307/632-0541 307/632-4999 (fax) rmincer@hirstapplegate.com Assigned: 05/07/2010 TERMINATED: 06/29/2010 representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Curtis B Miner Colson Hicks Eidson 225 Alhambra Circle Penthouse Coral Gables, FL 33134 305-476-7400 305-476-7444 (fax) curt@colson.com Assigned: 02/03/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Fred Miller (Plaintiff) Jeannette Klein (Plaintiff) Myrna Miller (Plaintiff) Janet K. Black (Plaintiff) Benjamin M. Misko Law Offices of B enjamin Misko, LLC P. O. Box 19390 New Orleans, LA 70179 504-483-9102 bmisko@louisianarentlaw.com Assigned: 09/07/2011 ATTORNEY TO BE NOTICED representing Gayle Gagliano (Plaintiff) Timothy P. Misny Misny & Associates 9327 Chillicothe Road Kirtland, OH 44094 440-256-1395 440-256-1614 (fax) tmisny@misnylaw.com Assigned: 11/26/2012 ATTORNEY TO BE NOTICED representing Brian Caya (Plaintiff) Michelle Stowe Caya (Plaintiff) Christopher H Mitchell Stein Mitchell & Muse LLP 1100 Conn Avenue NW Suite 1100 Washington, DC 20036 202-737-7777 cmitchell@steinmitchell.com Assigned: 10/08/2010 ATTORNEY TO BE NOTICED representing Juana Veriguete-Montero (Plaintiff) Anthony Joseph Monaco Swanson Martin and Bell LLP 330 North Wabash Avenue Suite 3300 Chicago, IL 60611 312-321-9100 312-321-0990 (fax) amonaco@smbtrials.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Denso Manufacturing Tennessee Inc TERMINATED: 07/27/2010 (Defendant) Todd J Moody Hagood, Tarpy & Cox, PLLC 2100 Riverview Tower 900 S. Gay St. Knoxville, TN 37902 865-525-7313 865-525-0858 (fax) tmoody@htandc.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Millie Charlottie Hartgrove (Plaintiff) J Mark Moore Spiro Moore LLP 11377 West Olympic Boulevard 5th Floor Los Angeles, CA 90064-1683 310-235-2468 310-235-2456 (fax) mark@spiromoore.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Dale Baldisseri (Plaintiff) Jennifer A Moore Grossman & Moore PLLC One Riverfront Plaza 401 West Main Street Suite 1810 Louisville, KY 40202 502-657-7100 502-657-7111 (fax) jmoore@gminjurylaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Anita Jorge TERMINATED: 11/15/2011 (Plaintiff) Nicholas Thomas Moraites Eckert Seamans Cherin & Mellott LLC (DC) 1717 Pennsylvania Ave NW 12th Floor Washington, DC 20006 202-659-6670 202-659-6699 (fax) nmoraites@eckertseamans.com Assigned: 07/27/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Matthew B Moreland Matthew B. Moreland, Attorney at Law 4008 Prytania Street Suite A New Orleans, LA 70115 504-782-9083 mmoreland@becnellaw.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Rhonda Talbot (Plaintiff) Amanda R Maillho (Plaintiff) Ann Cavalier (Plaintiff) Colby Wenck (Plaintiff) Daniel Weimer, Jr. (Plaintiff) Peter Phaneuf (Plaintiff) Charles Glen Morris Alston and Bird LLP 2200 Ross Avenue Suite 3601 Dallas, TX 75201 214-432-7775 214-432-7771 (fax) Assigned: 06/04/2010 TERMINATED: 08/22/2012 representing Toyota Motor Sales U.S.A., Inc. (Defendant) R Timothy Morrison Pope McGlamery Kilpatrick Morrison & Norwood LLP 3455 Peachtree Road Suite 925 Atlanta, GA 30326 404-523-7706 404-524-1648 (fax) efile@pmkm.com Assigned: 10/31/2011 ATTORNEY TO BE NOTICED representing Jane Saint Drake (Plaintiff) Paul V. Kilpatrick, III (Plaintiff) R. Timothy Morrison Pope McGlamry Kilpatrick Morrison & Norwood 925 The Pinnacle P.O. Box 191625 3455 Peachtree Road, N.E. Atlanta, GA 31119-1625 404-523-7706 timmorrison@pmkm.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Jane Saint Drake (Plaintiff) Paul V. Kilpatrick, III (Plaintiff) William Lock Morton, III UPSHAW, WILLIAMS, BIGGERS, BECKHAM & RIDDICK, LLP-Ridgeland 1025 Northpark Drive, Suite A Ridgeland, MS 39158 601/978-1996 601/978-1949 (fax) wmorton@upshawwilliams.com Assigned: 10/11/2012 ATTORNEY TO BE NOTICED representing Nationwide Mutual Insurance Company (Defendant) William S. Moylan Ribbeck Law Chartered 505 N. Lake Shore Drive #102 Chicago, IL 60611 (305)979-1105 williammoylan@ribbecklaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Rosalina Diaz (Plaintiff) Melanie H Muhlstock Parker and Waichman 111 Great Neck Raod Great Neck, NY 11021 516-466-6500 516-466-6665 (fax) Assigned: 05/07/2010 TERMINATED: 08/22/2012 representing Margaret Gonzales (Plaintiff) Peter Phaneuf (Plaintiff) Daniel J Mulligan Jenkins Mulligan & Gabriel LLP 10085 Carroll Canyon Road Suite 210 San Diego, CA 92131 415-982-8500 415-982-8515 (fax) dan@jmglawoffices.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Jean Dominguez (Plaintiff) Craig Murphy Murphy & Murphy Law Offices 10191 Park Run Drive, Ste 100 Las Vegas, NV 89145 702-369-9696 702-369-9630 (fax) craig@nvpilaw.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Sylvia Gausch (Plaintiff) Carolina Salvador TERMINATED: 10/27/2011 (Plaintiff) Edgardo Soliman TERMINATED: 10/27/2011 (Plaintiff) Wilma Herrera TERMINATED: 10/27/2011 (Plaintiff) Stacie A. Murphy Murphy & Murphy Law Offices 10191 Park Run Drive Suite 100 Las Vegas, NV 89145 702-369-9696 702-369-9630 (fax) craig@nvpilaw.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Sylvia Gausch (Plaintiff) Carolina Salvador TERMINATED: 10/27/2011 (Plaintiff) Edgardo Soliman TERMINATED: 10/27/2011 (Plaintiff) Wilma Herrera TERMINATED: 10/27/2011 (Plaintiff) William Hughes Murphy, Jr The Murphy Firm One South St 23rd Fl Baltimore, MD 21202 14109518744 14105396599 (fax) billy.murphy@murphypa.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Edith Schantz (Plaintiff) Joseph Schantz (Plaintiff) Dennis E Murray, Jr Murray & Murray 111 E Shoreline Drive Sandusky, OH 44871 419-623-3000 dmj@murrayandmurray.com Assigned: 05/11/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Carole R. Young (Plaintiff) Daniel D Lee (Plaintiff) Jean Velliquette (Plaintiff) Dennis E Murray, Sr Murray & Murray Co LPA 111 East Shoreline Drive Sandusky, OH 44870-2517 419-624-3000 dmsr@murrayandmurray.com Assigned: 05/11/2010 ATTORNEY TO BE NOTICED representing Daniel D Lee (Plaintiff) Gilmur R Murray Murray and Howard LLP 760 Market Street Suite 1068 San Francisco, CA 94102 415 461 3200 Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Jean Dominguez (Plaintiff) Meetesh Shah (Plaintiff) James L Murray Murray & Murray Co LPA 111 East Shoreline Drive Sandusky, OH 44870-2517 419-624-3000 liz@murrayandmurray.com Assigned: 04/29/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Daniel D Lee (Plaintiff) Alex Farrugia (Plaintiff) Barbara Jackson (Plaintiff) John T Murray Murray & Murray CO PLA 111 East Shoreline Drive Sandusky, OH 44870 419-624-3125 419-624-0707 (fax) jotm@murrayandmurray.com Assigned: 04/12/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Daniel D Lee (Plaintiff) Alex Farrugia (Plaintiff) Barbara Jackson (Plaintiff) Kevin P Fogarty (Plaintiff) John Timothy Murray Murray and Murray Co. L.P.A 111 E. Shoreline Drive Sandusky, OH 44870 (419)-624-3125 (419)-624-0707 (fax) jotm@murrayandmurray.com Assigned: 09/28/2011 ATTORNEY TO BE NOTICED representing Marie Martin (Plaintiff) Margaret M Murray Murray & Murray Co LPA 111 East Shoreline Drive Sandusky, Oh 44870-2517 419-624-3000 MMM@murrayandmurray.com Assigned: 04/29/2010 ATTORNEY TO BE NOTICED representing Carole R. Young (Plaintiff) Daniel D Lee (Plaintiff) Jean Velliquette (Plaintiff) Margaret M. Murray Murray & Murray 111 East Shoreline Drive P.O. Box 19 Sandusky, OH 44871-0019 419-624-3000 419-624-0707 (fax) MMM@murrayandmurray.com Assigned: 09/28/2011 ATTORNEY TO BE NOTICED representing Marie Martin (Plaintiff) Thomas J Murray Thomas J Murray & Associates Inc. 111 East Shoreline Drive Sandusky, OH 44870-2517 419-624-3121 419-624-0707 (fax) tom@thomasjmurraylaw.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Elaine Byrnes (Plaintiff) Linda Alford Wooten (Plaintiff) H. Keith Myers Mounce, Green, Myers, Safi & Galatzan, P.C. P.O. Box 1977 El Paso, TX 79950-1977 (915) 532-2000 915/541-1526 (fax) myers@mgmsg.com Assigned: 04/25/2011 ATTORNEY TO BE NOTICED representing Absolom Nicholas Parker TERMINATED: 05/06/2011 (Defendant) John W Myers, IV Beatty and Myers LLP 100 W Broadway Ste 500 (West Tower) Long Beach, CA 90802 562-606-1530 562-268-1141 (fax) jmyers@beattymyers.com Assigned: 05/15/2012 ATTORNEY TO BE NOTICED representing Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) W. Matthew Nakajima The Sanders Law Firm 1017 Russell Street Covington, KY 41011 859-491-3000 859-655-4642 (fax) mnakajima@thesanderslawfirm.com Assigned: 05/13/2010 ATTORNEY TO BE NOTICED representing Betty Tomlin (Plaintiff) Cathy Miller (Plaintiff) Edward Skillman (Plaintiff) Joan Skillman (Plaintiff) Michael Miller (Plaintiff) Patrick Kwiatkowski (Plaintiff) Sonya Gray (Plaintiff) Steve Clemons (Plaintiff) Wayne Tomlin (Plaintiff) Jeremy Nash Abbey Spanier Rodd and Abrams LLP 212 East 39th Street New York, NY 10016 212-889-3700 212-684-5191 (fax) jnash@abbeyspanier.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Jessica M. Kramer TERMINATED: 05/04/2010 (Plaintiff) Barbara Iglesias (Plaintiff) Dianne M Nast NastLaw LLC 1101 Market Street Suite 2801 Philadelphia, PA 19107 215-923-9300 dnast@nastlaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Diane Gumble (Plaintiff) Ted M. Wedul (Plaintiff) Todd B Naylor Goldenberg Schneider & Groh LPA 35 East Seventh Street Suite 600 Cincinnati, OH 45202 513-345-8291 513-345-8294 (fax) tnaylor@gsglegal.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Tom Kunce (Plaintiff) Joseph V. Neill 5201 Hampton Ave St. Louis, MO 63109 314-353-1001 314-353-0181 (fax) Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Jennifer Porter (Plaintiff) Robert O Leary (Plaintiff) Gretchen M Nelson Kreindler and Kreindler LLP 707 Wilshire Boulevard Suite 4100 Los Angeles, CA 90017 213-622-6469 213-622-6019 (fax) gnelson@kreindler.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Dale Baldisseri (Plaintiff) Linda Jane Nelson Lambert & Nelson PLC 701 Magazine Street New Orleans, LA 70130 504-581-1750 504-529-2931 (fax) Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Amanda R Maillho (Plaintiff) Ann Cavalier (Plaintiff) Colby Wenck (Plaintiff) Daniel Weimer, Jr. (Plaintiff) Gary T Brock (Plaintiff) Robert J Nelson Lieff Cabraser Heimann and Bernstein 275 Battery Street, 29th Floor San Francisco, CA 94111-3339 415-956-1000 415-956-1008 (fax) rnelson@lchb.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Jacquelyn Donoghue (Plaintiff) Teresa B. Myers TERMINATED: 06/11/2010 (Plaintiff) William C. Myers TERMINATED: 06/11/2010 (Plaintiff) Andrew Flury (Plaintiff) David Hanna (Plaintiff) Donna Hanna (Plaintiff) Harry Williams (Plaintiff) Jill Bond (Plaintiff) Joel Bond (Plaintiff) Joseph Christian (Plaintiff) Kirk Crank (Plaintiff) Mary Jo Crank (Plaintiff) Sandra Livingston (Plaintiff) Tetyana Flury (Plaintiff) Robert Booher TERMINATED: 06/30/2010 (Plaintiff) Jerome Cangelosi TERMINATED: 09/28/2010 (Plaintiff) Lori Cangelosi TERMINATED: 09/28/2010 (Plaintiff) Lorrie Krieger TERMINATED: 09/28/2010 (Plaintiff) Judy Warren TERMINATED: 10/01/2010 (Plaintiff) Omar Roberts (Plaintiff) Brian Barlow TERMINATED: 01/28/2011 (Plaintiff) Hae Chang (Plaintiff) Camille McCormick TERMINATED: 07/02/2010 (Plaintiff) Carol Hatzman TERMINATED: 09/28/2010 (Plaintiff) Dwayne Watkins, Jr. (Plaintiff) Heather H Neubauer Foley & Mansfield, PLLP 250 Marquette Ave Ste 1200 Mpls, MN 55401 612-338-8788 612-338-8690 (fax) hneubauer@foleymansfield.com Assigned: 05/07/2010 TERMINATED: 08/19/2010 representing Laurence K. Johnston (Plaintiff) John F. Nevares John F. Nevares & Assoc. PSC P.O. Box 13667 San Juan, PR 00908-3667 787-722-9333 787-721-8820 (fax) jfnevares@nevareslaw.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Gary T Brock (Plaintiff) Milagros Rodriguez-Cruz (Plaintiff) Zahira Crespo-Bithorn (Plaintiff) John F. Nevares John F. Nevares & Assoc. PSC P.O. Box 13667 San Juan, PR 00908-3667 787-722-9333 787-721-8820 (fax) jfnevares@nevareslaw.com Assigned: 12/16/2010 ATTORNEY TO BE NOTICED representing Ada Roldan-Soto (Plaintiff) Ramon Ojeda-Rivera (Plaintiff) Sheydalis Casul-De Jesus (Plaintiff) Ruben T. Nigaglioni Nigaglioni & Ferraiuoli Law Offices PSC PO Box 195384 San Juan, PR 00919-5384 787-765-9966 787-751-2520 (fax) ruben@nf-legal.com Assigned: 12/29/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Edgardo Vargas-Guzman (Plaintiff) Lydia Olavarria-Vargas (Plaintiff) Thomas Jerome Nolan Skadden Arps Slate Meagher and Flom LLP 300 South Grand Avenue 34th Floor Los Angeles, CA 90071-3144 213-687-5252 213-687-5600 (fax) tnolan@skadden.com Assigned: 11/04/2011 LEAD ATTORNEY ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Colvin Gamble Norwood, Jr. McGlinchey Stafford, PLLC (New Orleans) 601 Poydras St. 12th Floor New Orleans, LA 70130 504-586-1200 504-596-2861 (fax) wnorwood@mcglinchey.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) LeBlanc Automobiles Inc., L.L.C. TERMINATED: 10/27/2011 (Defendant) Colvin Gamble Norwood, Jr. McGlinchey Stafford, PLLC (New Orleans) 601 Poydras St. 12th Floor New Orleans, LA 70130 504-586-1200 504-596-2861 (fax) wnorwood@mcglinchey.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Manufacturing, Indiana, Inc. (Defendant) Patrick J. O'Cain McGlinchey Stafford, PLLC (New Orleans) 601 Poydras St. 12th Floor New Orleans, LA 70130 504-586-1200 pocain@mcglinchey.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Thomas Joseph O'Reardon, II Blood Hurst and O'Reardon LLP 701 B Street Suite 1700 San Diego, CA 92101 619-338-1100 619-338-1101 (fax) toreardon@bholaw.com Assigned: 10/25/2010 ATTORNEY TO BE NOTICED representing Dale Baldisseri (Plaintiff) Michael Houlf (Plaintiff) Michael J. O'Shea O'Shea & Associates Ste. 202 19300 Detroit Road Rocky River, OH 44116 440-356-2700 440-331-5401 (fax) michael@moshea.com Assigned: 01/17/2012 ATTORNEY TO BE NOTICED representing Betsy Havens (Plaintiff) JODI DYAN OLEY ECKERT, SEAMANS, CHERIN & MELLOTT, LLC TWO LIBERTY PLACE 50 SOUTH 16TH STREET 22ND FLOOR PHILADELPHIA, PA 19102 (215) 851-8400 joley@eckertseamans.com Assigned: 01/19/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Charles Scott Ofstein Donohue Brown Mathewson & Smyth LLC 140 South Dearborn Street Suite 800 Chicago, IL 60603 312-422-0900 312-422-0909 (fax) charles.ofstein@dbmslaw.com Assigned: 09/09/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) John Peter Ohanesian Strange and Carpenter 12100 Wilshire Boulevard Suite 1900 Los Angeles, CA 90025 310-207-5055 310-826-3210 (fax) johanesian@strangeandcarpenter.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Kerri Madden (Plaintiff) Daniel W Olivas Lewis King Krieg and Waldrop PC 424 Church Street Suite 2500 Nashville, TN 37219 615-259-1366 615-259-1389 (fax) dolivas@lewisking.com Assigned: 07/19/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Stuart Alan Ollanik Gilbert, Ollanik & Komyatte, P.C. 5400 Ward Road Building IV #200 Arvada, CO 80002 303-431-1111 303-431-1633 (fax) sollanik@thegilbertlawgroup.com Assigned: 01/19/2011 ATTORNEY TO BE NOTICED representing Catherine Donohue (Plaintiff) Ricardo L. Ortiz-Colon Fiddler, Gonzalez & Rodriguez PO Box 363507 San Juan, PR 00936-3507 787-759-3258 787-250-7565 (fax) Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota de Puerto Rico Corp. (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Paul J. Osowski Nelson Mullins Riley & Scarborough, LLP 100 North Tryon Street, Bank of America Corporate Ctr. Suite 4200 Charlotte, NC 28202-4007 704-417-3114 704-417-3212 (fax) paul.osowski@nelsonmullins.com Assigned: 12/16/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Jeffrey L Osterwise Berger & Montague PC 1622 Locust Street Philadelphia, PA 19103 215-875-3000 215-875-4604 (fax) josterwise@bm.net Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Kathy Boyask (Plaintiff) Roz Schwartz (Plaintiff) June Anne Oswald Becnel Law Firm, LLC 106 West Seventh Street PO Drawer H Reserve, LA 70084 985-536-1186 Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Amanda R Maillho (Plaintiff) Christine Mitchell (Plaintiff) Steven Wayne Ouzts Turner Padget Graham and Laney PO Box 1473 Columbia, SC 29202 803-254-2200 803-799-3957 (fax) souzts@turnerpadget.com Assigned: 05/07/2010 TERMINATED: 06/08/2010 representing Denso Manufacturing Tennessee Inc TERMINATED: 07/27/2010 (Defendant) Peter W Overs, Jr Harwood Feffer LLP 488 Madison Avenue Suite 801 New York, NY 10022 212-935-7400 212-753-3630 (fax) povers@whesq.com Assigned: 06/09/2010 ATTORNEY TO BE NOTICED representing Steven Boughner (Plaintiff) Brian J Panish Panish Shea and Boyle LLP 11111 Santa Monica Boulevard, Suite 700 Los Angeles, CA 90025-3341 310-477-1700 310-477-1699 (fax) panish@psblaw.com Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Sharrolyn Jimerson (Plaintiff) Fred Paoli, Jr. PAOLI & BROWN 120 West Callender Street Livingston, MT 59047 406-222-4420 406-222-1032 (fax) fpaoli@bridgeband.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Darrell P. Quintana (Plaintiff) Nicholas C Pappas Frost Brown Todd LLC - Ind/IN 201 North Illinois St Suite 1900 PO Box 44961 Indianapolis, IN 46244-0961 317-237-3800 317-237-3900 (fax) npappas@fbtlaw.com Assigned: 12/16/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Paul O Paradis Horwitz Horwitz and Paradis Attorneys at Law 570 Seventh Avenue 20th Floor New York, NY 10018 212-986-4500 212-986-4501 (fax) pparadis@hhplawny.com Assigned: 04/15/2010 TERMINATED: 05/04/2010 representing Lisa Creighton TERMINATED: 05/04/2010 (Plaintiff) Miriam Ramirez TERMINATED: 05/04/2010 (Plaintiff) Behram V Parekh Kirtland and Packard LLP 2041 Rosecrans Avenue 3rd Floor El Segundo, CA 90245 310-536-1000 310-536-1001 (fax) bvp@kirtlandpackard.com Assigned: 04/12/2010 ATTORNEY TO BE NOTICED representing Eric Kmetz (Plaintiff) Frank Palomares (Plaintiff) Joe Morris (Plaintiff) Joseph Hauter (Plaintiff) Linda Tang (Plaintiff) Jimmy Yongki Park Bowman and Brooke LLP 879 West 190th Street Suite 700 Gardena, CA 90248 310-768-3068 310-719-1019 (fax) jimmy.park@bowmanandbrooke.com Assigned: 07/16/2012 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Jerrold S Parker Parker Waichman Alonso LLP 111 Great Neck Road Suite 101 Great Neck, NY 11021 516-740-7711 516-740-7811 (fax) jerry@yourlawyer.com Assigned: 04/15/2010 TERMINATED: 12/23/2010 representing Rhonda Talbot (Plaintiff) Amanda R Maillho (Plaintiff) Peter Phaneuf (Plaintiff) Jerrold S. Parker Parker & Waichman, LLC 111 Great Neck Road, 1st Fl. Great Neck, NY 11021 516-466-6500 516-466-6665 (fax) jparker@yourlawyer.com Assigned: 05/07/2010 TERMINATED: 12/23/2010 representing Margaret Gonzales (Plaintiff) Ranse Partin Conley Griggs Partin LLP 1380 West Paces Ferry Rd NW Suite 2100 Atlanta, GA 30327 404-467-1155 404-467-1166 (fax) ranse@conleygriggs.com Assigned: 05/22/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing Ida Starr St John (Plaintiff) David Pastor Gilman and Pastor LLP 63 Atlantic Avenue 3rd Floor Boston, MA 02110 617-742-9700 617-742-9701 (fax) dpastor@gilmanpastor.com Assigned: 05/14/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Daniel Durgin (Plaintiff) Jud Patterson Luxon & Patterson 507 Hampton Way Richmond, KY 40475 859-623-6233 jud@luxonpatterson.com Assigned: 06/30/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Nancy Leach Rookard TERMINATED: 10/27/2011 (Plaintiff) Eric S Pavlack Cohen & Malad LLP One Indiana Square Suite 1400 Indianapolis, IN 46204-0000 317-636-6481 317-636-2593 (fax) Assigned: 05/07/2010 TERMINATED: 04/16/2012 representing Judith M Enderle (Plaintiff) Peter S Pearlman Cohn Lifland Law Firm Park 80 Plaza West-One Saddle Brook, NJ 07663 201-845-9600 201-845-9423 (fax) Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing James R. Haustein (Plaintiff) Alexander W. Peet Lovelace Law Firm, P.A. 12870 U.S. Highway 98 West #200 Miramar Beach, FL 32550 850-837-6020 850-837-4093 (fax) courtdocs@lovelacelaw.com Assigned: 06/04/2010 TERMINATED: 10/17/2012 ATTORNEY TO BE NOTICED representing Wayne S. Harris (Plaintiff) Reynaldo Alejandro Pena The Law Offices of Reynaldo A. Pena 433 S. Tancahua St. Corpus Christi, TX 78401 361-882-1919 361-882-2042 (fax) rpena999@yahoo.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Albert A. Pena, III (Plaintiff) Sylvia Pena (Plaintiff) Patrick Wayne Pendley Pendley, Baudin & Coffin, LLP P.O. Drawer 71 24110 Eden St. Plaquemine, LA 70764-0071 225-687-6396 225-687-6398 (fax) pwpendley@pbclawfirm.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Allie R Rockforte (Plaintiff) Patrick J. Perotti Dworken & Bernstein - Painesville 60 South Park Place Painesville, OH 44077 440-352-3391 440-352-3469 (fax) pperotti@dworkenlaw.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing G&M Motors, Inc. (Plaintiff) Cayce Christian Peterson Lambert & Nelson 701 Magazine Street New Orleans, LA 70130 504-581-1750 cpeterson@thelambertfirm.com Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Amanda R Maillho (Plaintiff) Ann Cavalier (Plaintiff) Colby Wenck (Plaintiff) Daniel Weimer, Jr. (Plaintiff) Gary T Brock (Plaintiff) Douglas P Peterson Anthony & Peterson, LLP 500 N Water St 10th Floor Corpus Christi, TX 78401 361-687-1000 361-687-1010 (fax) dpeterson@anthony-peterson.com Assigned: 05/25/2011 ATTORNEY TO BE NOTICED representing Ovidio Aguirre Vela (Plaintiff) D Bruce Petway PETWAY, TUCKER & BARGANIER LLC 510 Park Place 2001 Park Place N Birmingham, AL 35203 205-733-1595 205-581-9773 (fax) bpetway@lawpc.com Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Sharrolyn Jimerson (Plaintiff) Douglas L Pfeifer Bowman & Brooke LLP 150 South 5th Street Suite 3000 Minneapolis, MN 55402 612-672-3253 612-672-3200 (fax) doug.pfeifer@bowmanandbrooke.com Assigned: 08/10/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Bryan August Pfleeger Michael Hingle & Associates, Inc. (Slidell) 220 Gause Blvd. Suite 200 P. O. Box 1129 Slidell, LA 70459 985-641-6800 bryan@hinglelaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Aaron Jones (Plaintiff) Alfred Shepard (Plaintiff) Bernadine Shepard (Plaintiff) Isabella Jones (Plaintiff) Thomas Downey Sr (Plaintiff) Ralph K. Phalen Ralph K. Phalen Law PC 1000 Broadway Suite 400 Kansas City, MO 64105 816-589-0753 816-471-1701 (fax) phalenlaw@yahoo.com Assigned: 05/13/2010 ATTORNEY TO BE NOTICED representing Amy Smith Roth (Plaintiff) Angela Boles (Plaintiff) Debra Poynter (Plaintiff) Fran Preedom (Plaintiff) Krystal Eggerding (Plaintiff) Laurie Chambers (Plaintiff) Lucero Davidson (Plaintiff) Mark Davidson (Plaintiff) Ron Poynter (Plaintiff) Tina Preedom (Plaintiff) Carlin J Phillips Phillips and Garcia PC 13 Ventura Drive Dartmouth, MA 02747 508-998-0800 508-998-0919 (fax) cphillips@phillipsgarcia.com Assigned: 05/05/2010 ATTORNEY TO BE NOTICED representing Charles Saba (Plaintiff) Robyn Saba (Plaintiff) Daniel E Phillips Solberg Stewart Miller P.O. Box 1897 Fargo, ND 58107-1897 701-237-3166 701-237-4627 (fax) dphillips@solberglaw.com Assigned: 08/07/2012 ATTORNEY TO BE NOTICED representing Dale Karjala (Plaintiff) Mark Fraase (Plaintiff) Anthony J. Piazza Hiscock, Barclay Law Firm - Rochester Office 2000 HSBC Plaza 100 Chestnut Street Rochester, NY 14604-2072 585-325-7570 585-325-5458 (fax) apiazza@hiscockbarclay.com Assigned: 04/25/2011 TERMINATED: 06/17/2011 representing State Farm Insurance Company (Defendant) James M Piotrowski HERZFELD & PIOTROWSKI PO Box 2864 Boise, ID 83701-2864 (208) 331-9200 JPiotrowski@idunionlaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Gary Gustin (Plaintiff) Frank E Piscitelli, Jr Piscitelli Law Firm 6151 Wilson Mills Road Suite 110 Highland Heights, OH 44143 216-931-7000 216-931-9925 (fax) Frank@feplaw.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Robyn Horn (Plaintiff) Thomas Davis (Plaintiff) Troy Menssen (Plaintiff) Jennifer Lee Glardon (Plaintiff) Frank M Pitre Cotchett Pitre Simon and McCarthy San Francisco Airport Office Center 840 Malcolm Rd Suite 200 Burlingame, CA 94010 650-697-6000 650-697-0577 (fax) fpitre@cpmlegal.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Green Spot Motors Co (Plaintiff) Daniel Boudreault (Plaintiff) Daniel Hamilton (Plaintiff) Auto Lenders Liquidation Center, Inc. (Plaintiff) Deluxe Holdings, Inc. (Plaintiff) Larry Pitt Larry Pitt & Associates PC 1918 Pine Street Philadelphia, PA 19103 215-5456-0011 215-546-0389 (fax) lawyers@larrypitt.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Kathy Boyask (Plaintiff) William B Pittard, IV Office of the General Counsel US House of Representatives 219 Cannon House Office Building Washington, DC 20515 202-225-9700 202-226-1360 (fax) william.pittard@mail.house.gov Assigned: 04/06/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing Committee on Energy & Commerce of the United States House of Representatives The (Movant) Charles Neal Pope Pope McGlamry Kilpatrick Morrison and Norwood, LLP PO Box 2128 1111 Bay Avenue (Zip Code 31901-2412) Suite 450 Columbus, GA 31902-2128 706-324-0050 Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Jane Saint Drake (Plaintiff) Paul V. Kilpatrick, III (Plaintiff) Francis Christopher Porada Berenbaum Weinshienk PC Republic Plaza 370 17th Street Suite 4800 Denver, CO 80202-5698 303-825-0800 303-629-7610 (fax) fporada@bw-legal.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Amanda J. Noble (Plaintiff) Michael Noble (Plaintiff) Gregory Yann Porter BAILEY & GLASSER, LLP 910 17th Street, NW Suite 800 Washington, DC 20006 (202) 543-0226 (202) 463-2103 (fax) gporter@baileyglasser.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Lucy Miller TERMINATED: 12/09/2010 (Plaintiff) Matthew L Preston Brady & O'Shea 2735 1st Ave SE Cedar Rapids, IA 52402 319-866-9277 mpreston@bradyoshea.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Deanna Riley (Plaintiff) Jody Weigel (Plaintiff) Julie Beard (Plaintiff) Michael Riley (Plaintiff) Sean Beard (Plaintiff) Joseph W Price Snell & Wilmer 600 Anton Boulevard, Suite 1400 Costa Mesa, CA 92626-7689 714-427-7000 714-427-7799 (fax) jprice@swlaw.com Assigned: 06/08/2010 ATTORNEY TO BE NOTICED representing Ira Lee Dadisman (Plaintiff) Virginia Lawson (Plaintiff) William R. Lawson (Plaintiff) Stephen H Price Stites & Harbison, PLLC (Nashville) SunTrust Plaza 401 Commerce Street Suite 800 Nashville, TN 37219-2449 615-244-5200 615-742-7226 (fax) stephen.price@stites.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Jose F. Quetglas Quetglas Law Office PO Box 16606 San Juan, PR 00908-6606 787-722-7745 Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Dot-Marie Gallardo-Browning (Plaintiff) Eric M Quetglas-Jordan Quetglas Law Office PO Box 16606 San Juan, PR 00908-6606 787-722-7745 787-725-3970 (fax) eric@quetglaslaw.com Assigned: 06/30/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Dot-Marie Gallardo-Browning (Plaintiff) Alvarez-Perez Conjugal Partnership (Plaintiff) Luis Alvarez-Cabrera (Plaintiff) Sandra Perez-Mendez (Plaintiff) Tatiana Alvarez-Perez (Plaintiff) Pedro Quinones-Suarez John F. Nevares & Assoc. PSC VIG Tower Suite 1504 1225 Ponce de Leon Ave Santurce, PR 00907 787-722-9333/415-9915 Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Milagros Rodriguez-Cruz (Plaintiff) Zahira Crespo-Bithorn (Plaintiff) Ada Roldan-Soto (Plaintiff) Ramon Ojeda-Rivera (Plaintiff) Sheydalis Casul-De Jesus (Plaintiff) William Coudert Rand Law Office of William Coudert Rand 711 Third Avenue Suite 1505 New York, NY 1001 212-286-1425 212-599-7909 (fax) Assigned: 06/30/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Charlene Tran (Plaintiff) Rachel Aleeza Rappaport Loeb & Loeb LLP 10100 Santa Monica Boulevard Suite 2200 Los Angeles, CA 90067-4120 310-282-2367 310-282-2200 (fax) rrappaport@loeb.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant) Marc G Reich Reich Radcliffe and Kuttler LLP 4675 MacArthur Court Suite 550 Newport Beach, CA 92660 949-975-0512 949-975-0514 (fax) mgr@reichradcliffe.com Assigned: 05/14/2010 ATTORNEY TO BE NOTICED representing Daniel Durgin (Plaintiff) Jason Saul Remer Remer & Georges-Pierre PLLC 11900 Biscayne Boulevard Suite 288 North Miami, FL 33181 305-416-5000 305-416-5005 (fax) jremer@rgpattorneys.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Maria Helmick (Plaintiff) Timothy Helmick (Plaintiff) Georges Vincent (Plaintiff) Jason Saul Remer Remer & Georges-Pierre PLLC 11900 Biscayne Boulevard Suite 288 North Miami, FL 33181 305-416-5000 305-416-5005 (fax) jremer@rgpattorneys.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Anthony Georges-Pierre (Plaintiff) Anthony M. Georges-Pierre (Plaintiff) Aristin Joseph (Plaintiff) Elie Cezaire (Plaintiff) Elvire Paul (Plaintiff) Enoc Desroches (Plaintiff) Etienne Eva (Plaintiff) Germain Dazile (Plaintiff) Ghislaine Bernard (Plaintiff) Gulaine Dorsainvil (Plaintiff) Henri Gattereau (Plaintiff) Histha Henry (Plaintiff) Jean Isaac (Plaintiff) Jean Daniel Renois (Plaintiff) Jeannie Menard (Plaintiff) Jeffrey Vincent (Plaintiff) Linda Jean Charles (Plaintiff) Lorma Victor (Plaintiff) Ludger Charles (Plaintiff) Marie Elisee (Plaintiff) Marie Isaac (Plaintiff) Marie Joelle Placide (Plaintiff) Mario Elisee (Plaintiff) Merredieu Pollas (Plaintiff) Orusmond Florestal (Plaintiff) Saintil Petit Frere (Plaintiff) Serge Derival (Plaintiff) Vilsaint Georges (Plaintiff) Willy Saint Hilaire (Plaintiff) Yonet Gardiner (Plaintiff) Alexandre Louis (Plaintiff) Aneste Edmond (Plaintiff) Beatrice Jackson (Plaintiff) Boniface Sylvestre (Plaintiff) Brunel Hilaire (Plaintiff) Claude Benoit (Plaintiff) Cloricia Lissaint (Plaintiff) Daniel Fontane (Plaintiff) Dumery Thervil (Plaintiff) Dunois obain (Plaintiff) Elita Hilaire (Plaintiff) Etienne Eva (Plaintiff) Gabriel Jean Foix (Plaintiff) Gladys Appolon (Plaintiff) Glaneuse Baptiste (Plaintiff) Hilda Carro-Hernandez (Plaintiff) Hugo Jean (Plaintiff) Jean Achille (Plaintiff) Jean C. Louis (Plaintiff) Jean P Philidor (Plaintiff) Jimmy Laine Belotte (Plaintiff) Johnny St. Jean (Plaintiff) Joseph A Cadet (Plaintiff) Justin Joseph (Plaintiff) Kristopher Gaspar (Plaintiff) Kristopher Gaspos (Plaintiff) Lucsie Francois (Plaintiff) Lufrance Elien (Plaintiff) Mandy Dacosta Pierre (Plaintiff) Marc H. Oracia (Plaintiff) Marie Michelle Glemaud (Plaintiff) Marie Mathurin (Plaintiff) Marie Thi Mentor (Plaintiff) Moliere Jinoel (Plaintiff) Mona Cayemille (Plaintiff) Monde Chery (Plaintiff) Paulga Ferdinard (Plaintiff) Pierre Luc Leo (Plaintiff) Reinaldo Felipe Hernandez (Plaintiff) Roney Moses (Plaintiff) Samuel Calixte (Plaintiff) Willy Jacques (Plaintiff) Yva Audelin (Plaintiff) jacques jean (Plaintiff) Randall R Renick Hadsell Stormer Richardson and Renick LLP 128 North Fair Oaks Avenue Pasadena, CA 91103 626-585-9600 626-577-7079 (fax) rrr@hskrr.com Assigned: 04/28/2010 ATTORNEY TO BE NOTICED representing Lydia Ellison (Plaintiff) Allen M Ressler RESSLER & TESH 821 SECOND AVE STE 2200 SEATTLE, WA 98104 206-388-0333 206-388-0197 (fax) allen@randtlaw.com Assigned: 12/20/2011 ATTORNEY TO BE NOTICED representing Karen Mueller (Plaintiff) David Bagley Rheingold Rheingold,Valet, Rheingold, Shkolnik & McCartney, LLP 113 East 37th Street New York, NY 10016-3042 (212)-684-1880 (212)-689-8156 (fax) drheingold@rheingoldlaw.com Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Judith Weinberger (Plaintiff) Richard Weinberger (Plaintiff) William A Riback William Riback LLC 132 Gaddon Avenue Haddonfield, NJ 08033 856-857-0008 856-857-0028 (fax) williamriback132@gmail.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing DIANE SCHLOSBERG (Plaintiff) LOUISE GORDON (Plaintiff) MICHAEL DUBE (Plaintiff) CULLEN KIRKPATRICK (Plaintiff) LINDA KIRKPATRICK (Plaintiff) John G. Rice Rice & Heath 29 S. Main Street Winchester, KY 40391 859-737-5316 859-737-0370 (fax) jrice@riceheathlaw.com Assigned: 02/17/2012 ATTORNEY TO BE NOTICED representing Larry W. Jenkins (ThirdParty Defendant) Elizabeth A Richards The Spence Law Firm 15 South Jackson Street Jackson, WY 83001 307-733-7290 307-733-5248 (fax) richards@spencelawyers.com Assigned: 07/08/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Cameron Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Casey Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Charley Alton Jones TERMINATED: 10/06/2011 (Plaintiff) Makenna Lloyd TERMINATED: 10/06/2011 (Plaintiff) Mark Roundy TERMINATED: 10/06/2011 (Plaintiff) Sandra Jolene Jones TERMINATED: 10/06/2011 (Plaintiff) Shirlene Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Travis Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Cameron Van Alfen (Plaintiff) Casey Van Alfen (Plaintiff) Charley Alton Jones (Plaintiff) Jolene Jones (Plaintiff) Makenna Lloyd (Plaintiff) Mark Roundy (Plaintiff) Shirlene Van Alfen (Plaintiff) Travis Van Alfen (Plaintiff) Kimberly Vanover Riley Montgomery, Rennie & Jonson Ste. 2100 36 East Seventh Street Cincinnati, OH 45202 513-768-5238 513-241-8775 (fax) kriley@mrjlaw.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Jerome L Ringler Ringler Kearney Alvare 633 W Fifth Street 28th Fl Los Angeles, CA 90071 213-473-1900 213-473-1919 (fax) jringler@rkallp.com Assigned: 04/26/2010 ATTORNEY TO BE NOTICED representing SPP Inc (Plaintiff) Deluxe Holdings, Inc. (Plaintiff) Michael Jermakian (Plaintiff) David J Riski Swanson, Martin & Bell, LLP 2525 Cabot Dr Ste 204 Lisle, IL 60532 630-799-6900 driski@smbtrials.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Robert G. Rivard Robert G. Rivard, Attorney at Law 4919 Canal St. Suite 301 New Orleans, LA 70119 (504) 486-9106 rgr04@yahoo.com Assigned: 09/07/2011 ATTORNEY TO BE NOTICED representing Gayle Gagliano (Plaintiff) Rosemary M Rivas Finkelstein Thompson LLP 505 Montgomery Street Suite 300 San Francisco, CA 94111 415-398-8700 415-398-8704 (fax) rrivas@finkelsteinthompson.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Gloria Park (Plaintiff) Charles Saba (Plaintiff) Robyn Saba (Plaintiff) Micah Maryn (Plaintiff) Paula M Roach Blood Hurst & O'Reardon LLP 701 B Street, Suite 1700 San Diego, CA 92101 619-338-1100 619-338-1101 (fax) proach@bholaw.com Assigned: 02/09/2011 ATTORNEY TO BE NOTICED representing Dale Baldisseri (Plaintiff) Michael Houlf (Plaintiff) Donna La Kae Roberts Stites and Harbison PLLC 401 Commerce Street Suite 800 Nashville, TN 37219 615-782-2200 615-742-0714 (fax) donna.roberts@stites.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Pamela J Roberts Bowman & Brooke LLP 1441 Main Street Suite 1200 Columbia, SC 29201 803-726-7423 803-726-7421 (fax) pamela.roberts@bowmanandbrooke.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Daniel S Robinson Robinson Calcagnie Robinson Shapiro Davis Inc 19 Corporate Plaza Drive Newport Beach, CA 92660 949-720-1288 949-720-1292 (fax) drobinson@rcrlaw.net Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Barry C. Broden TERMINATED: 10/12/2010 (Plaintiff) Ellyn J. Broden TERMINATED: 10/12/2010 (Plaintiff) Roy Williams (Plaintiff) Sandy Carmichael (Plaintiff) Pazir Mohammad and Nahyatt Mohammad TERMINATED: 06/24/2010 (Plaintiff) Wilma Larue Lauderdale and James Lauderdale TERMINATED: 10/08/2010 (Plaintiff) Jacqueline West TERMINATED: 12/10/2010 (Plaintiff) K. R. 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) Denese Rhooms 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) Dwayne Rhooms 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) Raliegh Scott (Plaintiff) Saundra Hill Scott (Plaintiff) David Beardsley (Plaintiff) Lynda Bisseger (Plaintiff) Christine Fogh (Plaintiff) Stephanie Cedillo (Plaintiff) Cameron Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Casey Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Charley Alton Jones TERMINATED: 10/06/2011 (Plaintiff) Makenna Lloyd TERMINATED: 10/06/2011 (Plaintiff) Mark Roundy TERMINATED: 10/06/2011 (Plaintiff) Sandra Jolene Jones TERMINATED: 10/06/2011 (Plaintiff) Shirlene Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Travis Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Joseph R Graybeal (Plaintiff) Patricia B Graybeal (Plaintiff) Cameron Van Alfen (Plaintiff) Casey Van Alfen (Plaintiff) Charley Alton Jones (Plaintiff) Jolene Jones (Plaintiff) Makenna Lloyd (Plaintiff) Mark Roundy (Plaintiff) Shirlene Van Alfen (Plaintiff) Travis Van Alfen (Plaintiff) Mark P Robinson, Jr Robinson Calcagnie Robinson Shapiro Davis Inc 19 Corporate Plaza Drive Newport Beach, CA 92660 949-720-1288 949-720-1292 (fax) mrobinson@rcrlaw.net Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Dale Baldisseri (Plaintiff) Barry C. Broden TERMINATED: 10/12/2010 (Plaintiff) Ellyn J. Broden TERMINATED: 10/12/2010 (Plaintiff) Roy Williams (Plaintiff) Sandy Carmichael (Plaintiff) Pazir Mohammad and Nahyatt Mohammad TERMINATED: 06/24/2010 (Plaintiff) Wilma Larue Lauderdale and James Lauderdale TERMINATED: 10/08/2010 (Plaintiff) Jacqueline West TERMINATED: 12/10/2010 (Plaintiff) K. R. 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) Denese Rhooms 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) Dwayne Rhooms 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) Michael Kenneth Hollis TERMINATED: 08/12/2010 (Plaintiff) Sandra P Hollis TERMINATED: 08/12/2010 (Plaintiff) Raliegh Scott (Plaintiff) Saundra Hill Scott (Plaintiff) David Beardsley (Plaintiff) Lynda Bisseger (Plaintiff) Christine Fogh (Plaintiff) Stephanie Cedillo (Plaintiff) Janice Feaster (Plaintiff) Cameron Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Casey Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Charley Alton Jones TERMINATED: 10/06/2011 (Plaintiff) Makenna Lloyd TERMINATED: 10/06/2011 (Plaintiff) Mark Roundy TERMINATED: 10/06/2011 (Plaintiff) Sandra Jolene Jones TERMINATED: 10/06/2011 (Plaintiff) Shirlene Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Travis Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Joseph R Graybeal (Plaintiff) Patricia B Graybeal (Plaintiff) Cameron Van Alfen (Plaintiff) Casey Van Alfen (Plaintiff) Charley Alton Jones (Plaintiff) Jolene Jones (Plaintiff) Makenna Lloyd (Plaintiff) Mark Roundy (Plaintiff) Shirlene Van Alfen (Plaintiff) Travis Van Alfen (Plaintiff) Behrouz Benyaminpour TERMINATED: 09/11/2012 (Plaintiff) Halen Kerendian TERMINATED: 09/11/2012 (Plaintiff) Nicholas R. Rockforte Pendley, Baudin & Coffin, LLP P.O. Drawer 71 24110 Eden St. Plaquemine, LA 70764-0071 225-687-6396 225-687-6398 (fax) nrockforte@pbclawfirm.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Allie R Rockforte (Plaintiff) Gerarld J Rodos Barrack Rodos and Bacine 2001 Market Street Suite 3300 Philadelphia, PA 19103 215-963-0600 619-963-0838 (fax) grodos@barrack.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Max L. Lieberman (Plaintiff) Phyllis C. Lieberman (Plaintiff) Carol Ann Henderson (Plaintiff) Joseph J. Boppre (Plaintiff) Nancy L. Boppre (Plaintiff) Regina M Rodriguez Faegre and Benson LLP 1700 Lincoln Street Suite 3200 Denver, CO 80203-4532 303-607-3500 303-607-3600 (fax) regina.rodriguez@faegrebd.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) James S Rogers James S Rogers Law Offices 1500 Fourth Avenue Suite 500 Seattle, WA 98101 206-621-8525 206-223-8224 (fax) jsr@jsrogerslaw.com Assigned: 12/20/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Karen Mueller (Plaintiff) James Steven Rogers LAW OFFICES OF JAMES S ROGERS 1500 FOURTH AVE STE 1500 SEATTLE, WA 98101 206-621-8525 jsr@jsrogerslaw.com Assigned: 09/27/2012 ATTORNEY TO BE NOTICED representing Mohammad Kazim Jalalyar (Plaintiff) Shamsulhayat Jalalyar (Plaintiff) Jennifer Ann Rogers Watkins and Eager PLLC PO Box 650 Jackson, MS 39201 601-965-1900 jrogers@watkinseager.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Susan W. Romaine FLAHERTY SENSABAUGH & BONASSO P. O. Box 3843 Charleston, WV 25338-3843 304/345-0200 304/345-0260 (fax) sromaine@fsblaw.com Assigned: 07/09/2012 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing West Virginia, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) CTS Corporation TERMINATED: 12/15/2010 (Defendant) Keith Bryan Rose The Rose Law Firm 501 New Karner Rd. Albany, NY 12201 (518) 869-9200 (518)-869-3334 (fax) krose@theroselawfirm.com Assigned: 01/19/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Mark R Rosen Barrack Rodos & Bacine 2001 Market Street Suite 3300 Philadelphia, PA 19103 215-963-0600 619-963-0838 (fax) mrosen@barrack.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Max L. Lieberman (Plaintiff) Phyllis C. Lieberman (Plaintiff) Carol Ann Henderson (Plaintiff) Joseph J. Boppre (Plaintiff) Nancy L. Boppre (Plaintiff) Samuel K Rosen Harwood Feffer LLP 488 Madison Avenue 8th Floor New York, NY 10022 212-935-7400 212-753-3630 (fax) srosen@hfesq.com Assigned: 06/09/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Steven Boughner (Plaintiff) Fred R Rosenthal Fred Rosenthal Law Offices 6 Harbor Park Drive Port Washington, NY 11050 516-466-6500 Assigned: 04/15/2010 TERMINATED: 05/04/2010 representing Lisa Creighton TERMINATED: 05/04/2010 (Plaintiff) Bureau Chief Laura Green (Plaintiff) Deluxe Holdings, Inc. (Plaintiff) Aaron Austin (Plaintiff) Adilia Aviles (Plaintiff) Alex Farrugia (Plaintiff) Angela Boles (Plaintiff) Ann Cavalier (Plaintiff) Anthony Bonacci (Plaintiff) Anthony Crespo (Plaintiff) Brenda Bishop (Plaintiff) Brenda E. Burack (Plaintiff) Brian Deis (Plaintiff) Burton Field (Plaintiff) CESARE COSLOP, IV (Plaintiff) Carole Fisher (Plaintiff) Carolyn Boudoin (Plaintiff) Cathy Cisetti (Plaintiff) Christine Aznavour (Plaintiff) Christine Carr (Plaintiff) Christopher Carlson (Plaintiff) Cindy L. Bencsik (Plaintiff) Clayton Q Aukland (Plaintiff) Dale Baldisseri (Plaintiff) Dana Clark (Plaintiff) Daniel Boudreault (Plaintiff) Daniel Durgin (Plaintiff) David Beardsley (Plaintiff) Dawn De Vincenzi (Plaintiff) Deborah Baumkel (Plaintiff) Donna B. Bellony (Plaintiff) E. Brandon Bowron (Plaintiff) Ebony Brown (Plaintiff) Elaine Byrnes (Plaintiff) Elen Edilyan (Plaintiff) Elie Cezaire (Plaintiff) Elza Dzhivalegyan (Plaintiff) Enoc Desroches (Plaintiff) Ernest Cornell (Plaintiff) Etienne Eva (Plaintiff) Gary T Brock (Plaintiff) Gary Brown (Plaintiff) Gary Davis (Plaintiff) Gene Peay Darrah (Plaintiff) Germain Dazile (Plaintiff) Ghislaine Bernard (Plaintiff) Gulaine Dorsainvil (Plaintiff) H. W. Fanning (Plaintiff) Hae Chang (Plaintiff) Holly Boyd (Plaintiff) Hugh W Cox (Plaintiff) Ira Lee Dadisman (Plaintiff) JON J. DARCY (Plaintiff) Jacquelyn Donoghue (Plaintiff) James Michael Bell (Plaintiff) Jane Saint Drake (Plaintiff) Jay Brandt (Plaintiff) Jean Dominguez (Plaintiff) Jeanne Epstein (Plaintiff) Jennifer Wendy Burke (Plaintiff) Jenny Devereaux (Plaintiff) Jerry A Borbon (Plaintiff) Jill Bond (Plaintiff) Joel Bond (Plaintiff) Joseph J. Boppre (Plaintiff) Joseph Christian (Plaintiff) Joyce Ann Atnip (Plaintiff) Judith M Enderle (Plaintiff) Judy Barzare (Plaintiff) Julie Beard (Plaintiff) Karen Bickel (Plaintiff) Karen S. Crozier (Plaintiff) Kathy Boyask (Plaintiff) Kelley W. Dion (Plaintiff) Kirk Crank (Plaintiff) Krystal Eggerding (Plaintiff) Kyle Briggs (Plaintiff) Larry Boudoin (Plaintiff) Laurie Chambers (Plaintiff) Linda Jean Charles (Plaintiff) Lucero Davidson (Plaintiff) Ludger Charles (Plaintiff) Luis Fernandez (Plaintiff) Lydia Ellison (Plaintiff) Lynda Bisseger (Plaintiff) MICHAEL DUBE (Plaintiff) Marie DuBois (Plaintiff) Marie Elisee (Plaintiff) Mario Elisee (Plaintiff) Mark Adkinson (Plaintiff) Mark Davidson (Plaintiff) Mary Jo Crank (Plaintiff) Mary Ferrara (Plaintiff) Maureen Colaberdino (Plaintiff) Melanie Berlieb (Plaintiff) Melanie Bonacci (Plaintiff) Michael Barzare (Plaintiff) Miguel E. Cordero (Plaintiff) Mindy A. Corrigan (Plaintiff) Nancy L. Boppre (Plaintiff) Orusmond Florestal (Plaintiff) Pamela M Cox (Plaintiff) Philip James Darrah (Plaintiff) REGINA H. DARCY (Plaintiff) Rebecca Clifton (Plaintiff) Renita Cipriani (Plaintiff) Robert Elmes (Plaintiff) Romanus Akamike (Plaintiff) Ronald Fahey (Plaintiff) Rosalina Diaz (Plaintiff) Roshawn Donahue (Plaintiff) S. Firgon (Plaintiff) Sandy Carmichael (Plaintiff) Sean Beard (Plaintiff) Seong Bae Choi (Plaintiff) Serge Derival (Plaintiff) Sharlene Cohen-Goldberg (Plaintiff) Sheydalis Casul-De Jesus (Plaintiff) Stefanie Bradley (Plaintiff) Stefanie Cece (Plaintiff) Stephen I. Burack (Plaintiff) Steve Clemons (Plaintiff) Steven Boughner (Plaintiff) Suzette L. Farrelly (Plaintiff) Svetlana Abajyan (Plaintiff) Sylvia Fernandez (Plaintiff) T Leigh Beard (Plaintiff) Thomas Davis (Plaintiff) Thomas Downey Sr (Plaintiff) Timothy P. Farrelly (Plaintiff) Un Jin Choi (Plaintiff) Weller W. Douglas (Plaintiff) Zahira Crespo-Bithorn (Plaintiff) Michael Choi TERMINATED: 04/19/2010 (Plaintiff) Alexsandra Del Real TERMINATED: 05/04/2010 (Plaintiff) Robert Booher TERMINATED: 06/30/2010 (Plaintiff) Jerome Cangelosi TERMINATED: 09/28/2010 (Plaintiff) Lori Cangelosi TERMINATED: 09/28/2010 (Plaintiff) Diane Devlin TERMINATED: 10/01/2010 (Plaintiff) Barry C. Broden TERMINATED: 10/12/2010 (Plaintiff) Ellyn J. Broden TERMINATED: 10/12/2010 (Plaintiff) Brian Barlow TERMINATED: 01/28/2011 (Plaintiff) John Flook TERMINATED: 01/30/2012 (Plaintiff) Jeremy Beale 1411 Allanwood Lane Dayton, OH 45432 (Plaintiff) Kristina Beale 1411 Allanwood Lane Dayton, OH 45432 (Plaintiff) Joseph Buccier 2606 Park Drive Cleveland, OH 44130 (Plaintiff) Suzanne Riegel Breit TERMINATED: 04/22/2011 (Plaintiff) Dylan Cruikshank TERMINATED: 04/23/2012 (Plaintiff) Lee A Rosenthal Dinsmore and Shohl LLP 250 West Main Street Suite 1400 Lexington, KY 40507 859-425-1000 859-425-1099 (fax) lee.rosenthal@dinsmore.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing California, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Brad Hughes Toyota (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor Sales, U.S.A., Inc. (ThirdParty Plaintiff) Michael Rosiello BARNES & THORNBURG LLP 11 South Meridian Street Indianapolis, IN 46204 (317) 231-7270 (317) 231-7433 (fax) mike.rosiello@btlaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Howard Weil Rubinstein Law Office of Howard W Rubinstein 1615 Forum Place Suite 4C West Palm Beach, FL 33401 832-715-2788 561-688-0630 (fax) howardr@pdq.net Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Renita Cipriani (Plaintiff) John Harding (Plaintiff) Daniel G. Ruggiero Consumer Legal Services, PC 12 Harding Street Suite 110 Lakeville, MA 02347 508-947-5454 508-947-5497 (fax) druggiero@lemonauto.com Assigned: 11/17/2010 ATTORNEY TO BE NOTICED representing Michael Roberge (Plaintiff) John Hasan Ruiz Joseph Lawrence McGuinness 5040 NW 7th St Miami, FL 33126 305-649-0020 649-6070 (fax) Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Antonio Ramos (Plaintiff) Tahiry Ramos (Plaintiff) Philip A. Rush Martin Bischoff Templeton Langslet & Hoffman 888 SW Fifth Avenue Suite 900 Portland, OR 97204 (503) 224-3113 (503) 224-9471 (fax) prush@martinbischoff.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) David J Russell Keller Rohrback LLP 1201 Third Avenue Suite 3200 Seattle, WA 98101-3276 206-623-1900 206-623-3384 (fax) drussell@kellerrohrback.com Assigned: 12/20/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) David James Russell KELLER ROHRBACK 1201 3RD AVE STE 3200 SEATTLE, WA 98101-3052 206-623-1900 FAX 623-3384 (fax) drussell@kellerrohrback.com Assigned: 09/27/2012 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) James P Ryan Morrow Morrow et al P O Drawer 1787 Opelousas, LA 70571-1787 337-948-4483 337-942-5234 (fax) jamesr@mmrblaw.com Assigned: 09/09/2010 TERMINATED: 03/30/2011 representing Judy Barzare (Plaintiff) Michael Barzare (Plaintiff) JOSEPH G. SAUDER CHIMICLES & TIKELLIS, LLP ONE HAVERFORD CENTRE 361 WEST LANCASTER AVENUE HAVERFORD, PA 19041 (610) 642-8500 JosephSauder@chimicles.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing JOSEPH B. TIBONI (Plaintiff) CESARE COSLOP, IV (Plaintiff) MATTHEW D. SCHELKOPF CHIMICLES & TIKELLIS LLP 361 WEST LANCASTER AVENUE HAVERFORD, PA 19041 610-642-8500 MatthewSchelkopf@chimicles.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing JOSEPH B. TIBONI (Plaintiff) CESARE COSLOP, IV (Plaintiff) GREGORY V. SHARKEY 500 WEST KENNEDY BLVD. LAKEWOOD, NJ 08701-1293 (732) 370-3100 gregsharkeylaw@verizon.net Assigned: 01/19/2011 TERMINATED: 10/27/2011 representing ALFREDO DA SILVA TERMINATED: 10/27/2011 (Plaintiff) LISA A. BARTLETT TERMINATED: 10/27/2011 (Plaintiff) Neil S Sader The Sader Law Firm 2345 Grand Boulevard, Suite 1925 Kansas City, MO 64108-2663 816-561-1818 nsader@saderlawfirm.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Aaron Austin (Plaintiff) Cathy Cisetti (Plaintiff) May Zhang (Plaintiff) Rhea Rodgers (Plaintiff) Ruth Shechter (Plaintiff) Robert S Safi Susman Godfrey LLP 1000 Louisiana Street Suite 5100 Houston, TX 77002 713-653-7850 713-654-3340 (fax) rsafi@susmangodfrey.com Assigned: 10/05/2010 ATTORNEY TO BE NOTICED representing Meredith Heller (Plaintiff) Camilo Kossy Salas, III Salas LC 650 Poydras Street Suite 1650 New Orleans, LA 70130 504-799-3080 csalas@salaslaw.com Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Amanda R Maillho (Plaintiff) Ann Cavalier (Plaintiff) Colby Wenck (Plaintiff) Daniel Weimer, Jr. (Plaintiff) Gary T Brock (Plaintiff) Carmelo B Sammataro Turner Padget Graham & Laney PA 1901 Main Street 17th Floor Columbia, SC 29201 803-254-2200 ssammataro@turnerpadget.com Assigned: 05/07/2010 TERMINATED: 06/08/2010 representing Denso Manufacturing Tennessee Inc TERMINATED: 07/27/2010 (Defendant) Andrew Samtoy Dworken & Bernstein - Painesville 60 South Park Place Painesville, OH 44077 440-352-3392 440-352-3469 (fax) asamtoy@dworkenlaw.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing G&M Motors, Inc. (Plaintiff) Kara Hadican Samuels Gainsburgh, Benjamin, David, Meunier & Warshauer Energy Centre 1100 Poydras St. Suite 2800 New Orleans, LA 70163-2800 (504) 558-9478 khs@sangisettylaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Robert Stephen McKinney (Plaintiff) Robert L. Samuels (Plaintiff) Delana S. Sanders The Sanders Law Firm 1017 Russell Street Covington, KY 41011 859-491-3000 859-655-4642 (fax) dsanders@thesanderslawfirm.com Assigned: 05/13/2010 ATTORNEY TO BE NOTICED representing Betty Tomlin (Plaintiff) Cathy Miller (Plaintiff) Edward Skillman (Plaintiff) Joan Skillman (Plaintiff) Michael Miller (Plaintiff) Patrick Kwiatkowski (Plaintiff) Sonya Gray (Plaintiff) Steve Clemons (Plaintiff) Wayne Tomlin (Plaintiff) Justin A. Sanders The Sanders Law Firm 1017 Russell Street Covington, KY 41011 859-491-3000 859-655-4642 (fax) jsanders@thesanderslawfirm.com Assigned: 05/13/2010 ATTORNEY TO BE NOTICED representing Betty Tomlin (Plaintiff) Cathy Miller (Plaintiff) Edward Skillman (Plaintiff) Joan Skillman (Plaintiff) Michael Miller (Plaintiff) Patrick Kwiatkowski (Plaintiff) Sonya Gray (Plaintiff) Steve Clemons (Plaintiff) Wayne Tomlin (Plaintiff) Robert E. Sanders The Sanders Law Firm 1017 Russell Street Covington, KY 41011 859-491-3000 859-655-4642 (fax) resanders@thesanderslawfirm.com Assigned: 05/13/2010 ATTORNEY TO BE NOTICED representing Betty Tomlin (Plaintiff) Cathy Miller (Plaintiff) Edward Skillman (Plaintiff) Joan Skillman (Plaintiff) Michael Miller (Plaintiff) Patrick Kwiatkowski (Plaintiff) Sonya Gray (Plaintiff) Steve Clemons (Plaintiff) Wayne Tomlin (Plaintiff) Paul Mark Sandler Shapiro Sher Guinot and Sandler 36 S Charles St Ste 2000 Baltimore, MD 21201 14103850202 14105397611 (fax) pms@shapirosher.com Assigned: 10/05/2012 ATTORNEY TO BE NOTICED representing Dorothy Fisher Weed (Plaintiff) Perry Lewis Weed (Plaintiff) Eduardo Enrique Santacana Lieff Cabraser Heimann and Bernstein LLP 275 Battery Street 29th Floor San Francisco, CA 94111 415-956-1000 415-956-1008 (fax) esantacana@lchb.com Assigned: 05/25/2012 ATTORNEY TO BE NOTICED representing Andrew Flury (Plaintiff) Cathy Whitaker (Plaintiff) David Hanna (Plaintiff) Deborah Mayton (Plaintiff) Demetrice Bibbins (Plaintiff) Dennis Sowders (Plaintiff) Donna Hanna (Plaintiff) Dwayne Watkins, Jr. (Plaintiff) Eduardo Recinos (Plaintiff) Geraldine Haddad (Plaintiff) Hae Chang (Plaintiff) Harry Williams (Plaintiff) Howard Sportsman (Plaintiff) Ida Starr St John (Plaintiff) Jacquelyn Donoghue (Plaintiff) Jill Bond (Plaintiff) Joel Bond (Plaintiff) Joseph Christian (Plaintiff) Kirk Crank (Plaintiff) Larissa Parker (Plaintiff) Margaret Bocskor (Plaintiff) Margaret Daly (Plaintiff) Margaret Sowders (Plaintiff) Margaret Sportsman (Plaintiff) Mary Jo Crank (Plaintiff) Michael Daly (Plaintiff) Omar Roberts (Plaintiff) Paul Spisto (Plaintiff) Rosario Garcia (Plaintiff) Sandra Livingston (Plaintiff) Tetyana Flury (Plaintiff) Thelma Sue Jude (Plaintiff) Thomas Mayton (Plaintiff) Walter Scott Tarter (Plaintiff) William Givens, II (Plaintiff) Linda Cline (Plaintiff) Guido Saveri Saveri & Saveri Inc 706 Sansome Street San Francisco, CA 94111 415-217-6810 415-217-6813 (fax) guido@saveri.com Assigned: 04/28/2010 ATTORNEY TO BE NOTICED representing Lydia Ellison (Plaintiff) R Alexander Saveri Saveri and Saveri, Inc 706 Sansome Street San Francisco, CA 94111 415-217-6810 415-217-6813 (fax) rick@saveri.com Assigned: 04/28/2010 ATTORNEY TO BE NOTICED representing Lydia Ellison (Plaintiff) Sherrie R Savett Berger & Montague PC 1622 Locust Street Philadelphia, PA 19103 215-875-3071 215-875-5715 (fax) ssavett@bm.net Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Kathy Boyask (Plaintiff) Roz Schwartz (Plaintiff) Royce B. Saville P. O. Box 2000 Romney, WV 26757 304/822-3875 304/822-7455 (fax) glabeau@frontiernet.net Assigned: 07/09/2012 ATTORNEY TO BE NOTICED representing David Corbitt (Plaintiff) Janet Corbitt (Plaintiff) Kelly C. Scandy Montgomery, Rennie & Jonson 2100 Society Bank Center 36 East Seventh Street Cincinnati, OH 45202 513-241-4722 513-241-8755 (fax) kscandy@mrjlaw.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) David T Schaefer Dinsmore & Shohl 101 S. Fifth Street 2500 National City Tower Louisville, KY 40202 502-581-8000 502-581-8111 (fax) david.schaefer@dinsmore.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor Manufacturing California, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) CTS Corporation TERMINATED: 12/15/2010 (Defendant) William E. Schaefer Law Office of John P. Hendrzak 3773 Corporate Center Parkway Suite 180 Center Valley, PA 18034 610-709-8705 16107098560 (fax) william.schaefer@zurichna.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Fitzgerald Auto Mall (Defendant) Karren T. Schaeffer Robinson Calcagnie & Robinson 620 Newport Center Drive 7th Floor Newport Beach, CA 92660 949-720-1288 949-720-1292 (fax) kschaeffer@rcrlaw.net Assigned: 04/26/2010 ATTORNEY TO BE NOTICED representing Wilma Larue Lauderdale and James Lauderdale TERMINATED: 10/08/2010 (Plaintiff) K. R. 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) Denese Rhooms 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) Dwayne Rhooms 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) J. Daniel Scharville Kahn & Associates Ste. 650 55 Public Square Cleveland, OH 44113 216-621-6101 216-621-6006 (fax) dscharville@kahnandassociates.com Assigned: 05/20/2011 ATTORNEY TO BE NOTICED representing Willette Riley (Plaintiff) James F. Scherr 109 N. Oregon, 12th Floor El Paso, TX 79901 (915)544-0100 (915)532-1759 (fax) aacosta@scherrlegate.com Assigned: 04/25/2011 ATTORNEY TO BE NOTICED representing David Ramirez TERMINATED: 05/06/2011 (Plaintiff) Carl R. Schiffman Schiffman & Wojdowski 1300 Fifth Avenue Pittsburgh, PA 15219 (412) 288-9444 SchifWojdo@hotmail.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Robert Elmes (Plaintiff) Frank R. Schirripa Horowitz Horowitz and Paradis 28 West 44th Street 16th Floor New York, NY 10036 212-404-2200 Assigned: 04/15/2010 TERMINATED: 05/04/2010 representing Lisa Creighton TERMINATED: 05/04/2010 (Plaintiff) Miriam Ramirez TERMINATED: 05/04/2010 (Plaintiff) Richard G Schneebeck HIRST & APPLEGATE P O Box 1083 Cheyenne, WY 82003-1083 307/632-0541 307/632-4999 (fax) rschneebeck@hirstapplegate.com Assigned: 05/07/2010 TERMINATED: 06/29/2010 representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Peter J. Schneider Cooley Manion Jones LLP 21 Custom House Street Boston, MA 02110 617-737-3100 617-737-3113 (fax) pschneider@cmjlaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Gerald Murphy (Plaintiff) David L Schrader Morgan Lewis and Bockius LLP 300 South Grand Avenue 22nd Floor Los Angeles, CA 90071-3132 213-612-2500 213-612-2501 (fax) dschrader@morganlewis.com Assigned: 02/01/2012 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Fred Schultz Greene Schultz Law Firm Showers Plaza 320 West 8th Street Suite 100 Bloomington, IN 47404 812-336-4357 812-336-5615 (fax) fred@greeneschultz.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Anthony Bonacci (Plaintiff) Melanie Bonacci (Plaintiff) Michael A Schwartz Horwitz Horwitz & Paradis Attorney At Laws 405 Lexington Avenue 61st Floor New York, NY 10174 212-986-4500 212-986-4501 (fax) mschwartz@hhplawny.com Assigned: 04/15/2010 TERMINATED: 05/04/2010 representing Lisa Creighton TERMINATED: 05/04/2010 (Plaintiff) Miriam Ramirez TERMINATED: 05/04/2010 (Plaintiff) Robert G. Scumaci Gibson, McAskill & Crosby LLP 69 Delaware Avenue Suite 900 Buffalo, NY 14202 716-856-4200 716-856-4013 (fax) rscumaci@gmclaw.com Assigned: 07/19/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Christopher A Seeger Seeger Weiss LLP 77 Water Street 26th Floor New York, NY 10005 212-584-0700 212-584-0799 (fax) cseeger@seegerweiss.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Lu Li TERMINATED: 05/04/2010 (Plaintiff) Marc M Seltzer Susman Godfrey LLP 1901 Avenue of the Stars Ste 950 Los Angeles, CA 90067-6029 310-789-3100 310-789-3150 (fax) mseltzer@susmangodfrey.com Assigned: 04/12/2010 ATTORNEY TO BE NOTICED representing Kathy Boyask (Plaintiff) Roz Schwartz (Plaintiff) Meredith Heller (Plaintiff) Bruce Alan Harkey TERMINATED: 01/10/2011 (Plaintiff) Nancy Montemerlo TERMINATED: 01/10/2011 (Plaintiff) Phillip Finkel TERMINATED: 01/10/2011 (Plaintiff) Adam Aleszczyk (Plaintiff) Albert Bosse (Plaintiff) Dr Aly A Mahmoud (Plaintiff) Ann Fleming-Weaver (Plaintiff) Arlene Caylor (Plaintiff) Barbara Saunders (Plaintiff) Barry Karlin (Plaintiff) Bianca Prade (Plaintiff) Bridie Doino (Plaintiff) Carl Nyquist (Plaintiff) Catherine Roe (Plaintiff) Darlene Kleinfeldt (Plaintiff) David Caylor (Plaintiff) Demetra Christopher (Plaintiff) Deshawna Carter (Plaintiff) Donna Cramer (Plaintiff) Douglas Guilbert (Plaintiff) Elise Kuhner (Plaintiff) Frank Visconi (Plaintiff) George Radmall (Plaintiff) Georgeann Whelan (Plaintiff) Hal Farrington (Plaintiff) Jan Bowling (Plaintiff) Jane Taylor (Plaintiff) Janette Seymour (Plaintiff) Jeremy Henson (Plaintiff) Joel Barker (Plaintiff) John Geddis (Plaintiff) John Laidlaw (Plaintiff) John Moscicki (Plaintiff) Joseph Chant (Plaintiff) Jude Anheluk (Plaintiff) Karen Pedigo (Plaintiff) Karina Brazdys (Plaintiff) Katherine Musgrave (Plaintiff) Kathleen Allen (Plaintiff) Kathleen Atwater (Plaintiff) Lucinda K Mahmoud (Plaintiff) Lucy Barker (Plaintiff) Maria Cisneros (Plaintiff) Mary Laidlaw (Plaintiff) Matthew Heidenreich (Plaintiff) Maureen Fitzgerald (Plaintiff) Monica Lowe (Plaintiff) Nancy Seamons (Plaintiff) Peggie Perkin (Plaintiff) Priscilla Manarino-Leggett (Plaintiff) Randee Romaner (Plaintiff) Rich Bowling (Plaintiff) Richard Benjamin (Plaintiff) Richard Kuhner (Plaintiff) Richard Swalm (Plaintiff) Richard Wolfe (Plaintiff) Rocco Doino (Plaintiff) Roland Pippin (Plaintiff) Shirley Ward (Plaintiff) Steven Prade (Plaintiff) Susan Chambers (Plaintiff) Susan Gonzalez (Plaintiff) Tully Seymour (Plaintiff) Vanessa Bozeman (Plaintiff) Victoria Karlin (Plaintiff) Walt Crigler (Plaintiff) Wanda Bosse (Plaintiff) William Kleinfeldt (Plaintiff) John Jeremy Robson TERMINATED: 01/31/2011 (Plaintiff) Lawrence Nelson TERMINATED: 03/23/2011 (Plaintiff) Christopher Lenney TERMINATED: 01/30/2012 (Plaintiff) Steven McDaniel, Jr TERMINATED: 01/30/2012 (Plaintiff) Julian G Senior OHagan Spencer LLP 1600 Rosecrans Avenue Building 7 -- Suite 320 Manhattan Beach, CA 90266 310-727-3330 310-727-3331 (fax) jsenior@ohaganspencer.com Assigned: 12/02/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) James C Shah Shepherd Finkelman Miller and Shah LLP 35 East State Street Media, PA 19063 610-891-9880 610-891-9883 (fax) jshah@sfmslaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing JOSEPH B. TIBONI (Plaintiff) Brett Shainfeld Shainfeld and Anvar PC 12304 Santa Monica Blvd Suite 221 Los Angeles, CA 90025 310-442-1410 877-566-8828 (fax) brett.shainfeld@gmail.com Assigned: 04/19/2012 ATTORNEY TO BE NOTICED representing John Laprarie (Plaintiff) Shirley Laprarie (Plaintiff) Melissa C Shapiro Saveri and Saveri, Inc. 706 Sansome Street San Francisco, CA 94111 415-217-6810 415-217-6813 (fax) mshapiro@saveri.com Assigned: 04/28/2010 ATTORNEY TO BE NOTICED representing Lydia Ellison (Plaintiff) Franklin G. Shaw Leger & Shaw (Covington) 512 E. Boston Street Covington, LA 70433 985-809-6625 fshaw@legershaw.com Assigned: 12/16/2010 TERMINATED: 05/24/2011 representing Michael Miranda 2013 Angela Street Arabi, LA 70032 TERMINATED: 08/12/2011 (Plaintiff) Patrick J Sheehan Whatley Drake and Kallas LLC 1540 Broadway 37th Floor New York, NY 10036 212-447-7070 212-447-7077 (fax) psheehan@wdklaw.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Kevin Funez (Plaintiff) Lacey Laudicina (Plaintiff) Renita Cipriani (Plaintiff) John Harding (Plaintiff) Robert K Shelquist Lockridge Grindal Nauen PLLP 100 Washington Avenue South Suite 2200 Minneapolis, MN 55401 612-339-6900 612-339-0981 (fax) rkshelquist@locklaw.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Alyson L. Oliver (Plaintiff) Anneke J Shepard King & Spalding LLP 1180 Peachtree Street Atlanta, GA 30309 404-572-3504 404-572-5140 (fax) ashepard@kslaw.com Assigned: 09/27/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant) Scott R Shepherd Shepherd Finkelman Miller and Shah LLP 35 East State Street Media, PA 19063 610-891-9880 610-891-9883 (fax) sshepherd@sfmslaw.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Bonnie Shansky (Plaintiff) Thomas I Sheridan, III Hanly Conroy Bierstein Sheridan Fisher & Hayes, LLP 112 Madison Avenue New York, NY 10016-7416 212-784-6400 212-213-5949 (fax) tsheridan@hanlyconroy.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Chris Chan Park (Plaintiff) Donald Pritchett (Plaintiff) Mary Ann Parker (Plaintiff) Seong Bae Choi (Plaintiff) Un Jin Choi (Plaintiff) Sandra Reech TERMINATED: 03/23/2011 (Plaintiff) Titsa Pelzman (Plaintiff) Richard E. Shevitz COHEN & MALAD LLP One Indiana Square Suite 1400 Indianapolis, IN 46204 (317) 636-6481 (317) 636-2593 (fax) rshevitz@cohenandmalad.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Judith M Enderle (Plaintiff) Robert E. Shields Doffermyre, Shields, Canfield & Knowles, LLC 1355 Peachtree Street Atlanta, GA 30309 404-881-8900 404-881-3007 (fax) rshields@dsckd.com Assigned: 05/13/2010 ATTORNEY TO BE NOTICED representing Betty Tomlin (Plaintiff) Cathy Miller (Plaintiff) Edward Skillman (Plaintiff) Joan Skillman (Plaintiff) Michael Miller (Plaintiff) Patrick Kwiatkowski (Plaintiff) Sonya Gray (Plaintiff) Steve Clemons (Plaintiff) Wayne Tomlin (Plaintiff) Hunter J Shkolnik Napoli Bern Ripka Shkolnik LLP 350 Fifth Avenue Suite 7413 New York, NY 10001 212-267-3700 212-587-0031 (fax) hunter@napolibern.com Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Elen Edilyan (Plaintiff) Frankie McKinney (Plaintiff) Walter McKinney (Plaintiff) Janice Feaster (Plaintiff) Thomas Davis (Plaintiff) Troy Menssen (Plaintiff) Sean Maxwell (Plaintiff) Edwin Mark Shorty Shorty, Dooley & Hall, LLC 650 Poydras Street Suite 2110 New Orleans, LA 70130 504-949-2545 Assigned: 06/30/2010 ATTORNEY TO BE NOTICED representing Mack Sims TERMINATED: 10/27/2011 (Plaintiff) Jonathan Shub Seeger Weiss LLP 1515 Market Street Suite 1380 Philadelphia, PA 19102 215-564-2300 215-851-8029 (fax) jshub@seegerweiss.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Lu Li TERMINATED: 05/04/2010 (Plaintiff) Maureen Colaberdino (Plaintiff) Christoper L Sices Singleton Law Firm 4050 Linwood Ave Shreveport, LA 71108 318-631-5200 318-636-7759 (fax) csices@singletonlaw.com Assigned: 01/30/2012 ATTORNEY TO BE NOTICED representing Reba Patterson (Plaintiff) Roslyn Patterson Nelson (Plaintiff) Matthew J Sill Sill Law Group 14005 North Eastern Avenue Edmond, OK 73013 405-509-6300 405-509-6268 (fax) matt@sill-law.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Dru Colin Lee (Plaintiff) Louis Todd Silverman Silverman & Fodera PC 1835 Market Street Suite 2600 Philadelphia, PA 19103 215-561-2100 215-561-0190 (fax) Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing FRANCINE GUOKAS (Plaintiff) Robert Silverman Kimmel & Silverman PC 1930 East Marlton Pike Suite Q29 Cherry Hill, NJ 08003 856-429-8334 rsilverman@lemonlaw.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Lu Li TERMINATED: 05/04/2010 (Plaintiff) Alexander Simanovsky Alex Simanovsky & Associates, LLC Suite 300 2300 Henderson Mill Road Atlanta, GA 30345 678-781-1012 alex@lemonlawinfo.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Emily Smith, - (Plaintiff) Wayne Schlegel (Plaintiff) Steven J Simerlein Branstetter Stranch & Jennings PLLC 227 Second Avenue North 4th Floor Nashville, TN 37201-1631 615-254-8801 615-255-5419 (fax) ssimerlein@branstetterlaw.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Gary Brown (Plaintiff) James Peterschmidt TERMINATED: 09/25/2012 (Plaintiff) Kathy Kallenbach TERMINATED: 09/25/2012 (Plaintiff) John S Simmons Simmons Law Firm LLC 1711 Pickens Street Columbia, SC 29201 803-779-4600 803-254-8874 (fax) jsimmons@simmonslawfirm.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Dale Roberts (Plaintiff) William L Simpson BURG SIMPSON ELDREDGE HERSH & JARDINE P O Box 490 Cody, WY 82414-0490 307/527-7891 307/527-7897 (fax) bsimpson@skelaw.com Assigned: 05/07/2010 TERMINATED: 06/29/2010 representing Carol Gureski TERMINATED: 06/29/2010 (Plaintiff) Laura L Singletary Neblett Beard & Arsenault 2220 Bonaventure Court Post Office Box 1190 Alexandria, LA 71309-1190 800-256-1050 318-561-2592 (fax) lsingletary@nbalawfirm.com Assigned: 11/12/2010 ATTORNEY TO BE NOTICED representing Dorothy Gaspard (Plaintiff) Ted M. Wedul (Plaintiff) Ani Gazaryan (Plaintiff) Christine Aznavour (Plaintiff) Robyn Horn (Plaintiff) David Gaspard (Plaintiff) Thomas Davis (Plaintiff) Troy Menssen (Plaintiff) Jerry Baker Auto Sales, LLC 600 Industrial Road Sedalia, MO 65301 (Plaintiff) W James Singleton Singleton Law Firm 4050 Linwood Avenue Shreveport, LA 71108 318-631-5200 wjsingleton@singletonlaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing LaRocca's Auto Sales, Inc. (Plaintiff) Reba Patterson (Plaintiff) Roslyn Patterson Nelson (Plaintiff) Chad Michael Sizemore Montgomery Rennie & Jonson 36 E. Seventh St. Suite 2100 Cincinnati, OH 45202 513-241-4722 513-241-8775 (fax) csizemore@mrjlaw.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Mark W. Skanes The Rose Law Firm, PLLC 501 New Karner Road Albany, NY 12205 518-869-9200 mskanes@theroselawfirm.com Assigned: 11/17/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Steven G Sklaver Susman Godfrey LLP 1901 Avenue of the Stars Suite 950 Los Angeles, CA 90067-6029 310-789-3100 310-789-3150 (fax) ssklaver@susmangodfrey.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Kathy Boyask (Plaintiff) Meredith Heller (Plaintiff) Donald H Slavik Robinson Calcagnie Robinson Shapiro Davis 2834 Blackhawk Court Steamboat Springs, Co 80487 949-720-1288 949-720-1292 (fax) dslavik@rcrlaw.net Assigned: 06/17/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Dylan Cruikshank TERMINATED: 04/23/2012 (Plaintiff) Suzanne Riegel Breit TERMINATED: 04/22/2011 (Plaintiff) Anthony Bonacci (Plaintiff) Melanie Bonacci (Plaintiff) Donald H. Slavik Habush Habush & Rottier S.C. 777 East Wisconsin Avenue Suite 2300 Milwaukee, WI 53202 (414) 271-0900 (414) 271-6854 (fax) slavik@habush.com Assigned: 06/04/2010 TERMINATED: 04/23/2012 representing Dylan Cruikshank TERMINATED: 04/23/2012 (Plaintiff) Brian William Smith Smith and Vanture LLP 1615 Forum Place Suite 4C West Palm Beach, FL 33401 561-684-6330 561-688-0630 (fax) bws@smithvanture.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Kevin Funez (Plaintiff) Lacey Laudicina (Plaintiff) Arlene S. Heilbrunn (Plaintiff) Renita Cipriani (Plaintiff) John Harding (Plaintiff) Edward Kline (Plaintiff) Mary Patricia Ryan (Plaintiff) Holly P Smith Shook Hardy & Bacon LLP 2555 Grand Boulevard Kansas City, MO 64108-2613 816-474-6550 816-241-2708 (fax) hpsmith@shb.com Assigned: 05/11/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Jared Smith Rumberger, Kirk & Caldwell, PA 100 N Tampa St - Ste 2000 PO Box 3390 Tampa, FL 33601-3390 813/223-4253 813-221-4752 (fax) jsmith@rumberger.com Assigned: 11/17/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Joel H Smith Bowman and Brooke LLP 1441 Main Street Suite 1200 Columbia, SC 29201 803-726-7487 803-726-7421 (fax) joel.smith@bowmanandbrooke.com Assigned: 02/17/2011 LEAD ATTORNEY ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Rodney Arthur Smith BAILEY & GLASSER 209 Capitol Street Charleston, WV 25301-1386 304/345-6555 304/342-1110 (fax) rsmith@baileyglasser.com Assigned: 04/19/2010 ATTORNEY TO BE NOTICED representing Jeff Mullins (Plaintiff) Michael Graves (Plaintiff) Michael C Graves (Plaintiff) Jerri Gaines Smitko Law Office of Jerri G. Smitko 622 Belanger St. P. O. Box 1669 Houma, LA 70361-1669 985-851-1313 jerri@jerrismitko.com Assigned: 03/15/2011 TERMINATED: 04/19/2012 representing Bernadine Carter 137 Acklen Ave. Houma, LA 70363 (Plaintiff) Elizabeth Hartman 139 King Street Houma, LA 70363 (Plaintiff) Lavergne Short 505 Woodside Drive Houma, LA 70363 (Plaintiff) Kathryn Snapka The Snapka Law Firm P.O. Drawer 23017 Corpus Christi, TX 78403 361-888-7676 361-884-8545 (fax) ksnapka@snapkalaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Albert A. Pena, III (Plaintiff) Sylvia Pena (Plaintiff) Alan G. Snipes Pope McGlamry Kilpatrick, Morrison & Norwood, LLP P.O. Box 2128 1111 Bay Avenue (Zip Code 31901-2412) Suite 450 Columbus, GA 31902-2128 706-324-0050 alansnipes@pmkm.com Assigned: 06/04/2010 TERMINATED: 10/31/2011 representing Paul V. Kilpatrick, III (Plaintiff) Jane Saint Drake (Plaintiff) Eric B Snyder Bailey & Glasser LLP 203 Capitol Street Charleston, WV 25301 304-345-6555 304-342-1110 (fax) esnyder@baileyglasser.com Assigned: 04/12/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Daniel D Lee (Plaintiff) Alex Farrugia (Plaintiff) Barbara Jackson (Plaintiff) Elaine Byrnes (Plaintiff) Kevin P Fogarty (Plaintiff) Jeff Mullins (Plaintiff) Michael Graves (Plaintiff) Michael C Graves (Plaintiff) Linda Alford Wooten (Plaintiff) Jill Bond (Plaintiff) Joel Bond (Plaintiff) Juana Veriguete-Montero (Plaintiff) Matthew Reese (Plaintiff) Paula Flynn Simmons (Plaintiff) Patricia Milton Steinfort (Plaintiff) Narcisso Pimentel (Plaintiff) Sosima Pimentel (Plaintiff) Eric B. Snyder BAILEY & GLASSER 209 Capitol Street Charleston, WV 25301-1386 304/345-6555 304/342-1110 (fax) esnyder@baileyglasser.com Assigned: 09/27/2012 ATTORNEY TO BE NOTICED representing Harlee D. Jones (Plaintiff) Iman R Soliman Bowman and Brooke LLP 2901 North Central Avenue Suite 1600 Phoenix, AZ 85012 602-643-2300 602-248-0947 (fax) iman.soliman@bowmanandbrooke.com Assigned: 03/24/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Corporation of U.S.A. (Defendant) Toyota Financial Services Americas Corp (Defendant) Toyota Industries Corporation (Defendant) Toyota Industries North America Inc (Defendant) Christine D Spagnoli Green Broillet and Wheeler LLP 100 Wilshire Boulevard Suite 2100 Santa Monica, CA 90407-2131 310-576-1200 310-576-1220 (fax) cspagnoli@greene-broillet.com Assigned: 05/11/2011 TERMINATED: 03/02/2012 representing Kyler Lloyd TERMINATED: 07/27/2011 (Plaintiff) Makenna Lloyd TERMINATED: 07/27/2011 (Plaintiff) Sean P Spellman Witherwax & Spellman Law PC 4150 Westown Parkway Suite 205 West Des Moines, IA 50266 515 224 5377 sean@spellmanlawpc.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Christopher Carlson (Plaintiff) Ira R Spiro Spiro Moore LLP 11377 West Olympic Boulevard 5th Floor Los Angeles, CA 90064 310-235-2468 310-235-2456 (fax) ira@spiromoore.com Assigned: 04/12/2010 ATTORNEY TO BE NOTICED representing Dale Baldisseri (Plaintiff) Geoffrey Spreter The Law Offices of Alexander M. Schack 16870 West Bernardo Drive Suite 400 San Diego, CA 92127 (858) 485-6535 (858) 485-0608 (fax) geoffspreter@amslawoffice.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Shawnee W. Scharer (Plaintiff) John Henry Stachler Jablinski, Folino, Roberts & Martin P O Box 1266 214 W Monument Avenue Dayton, OH 45402-9766 937-461-5980 937-461-4139 (fax) johns@jfrmlaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Joel Grunkemeyer (Plaintiff) John Sukola (Plaintiff) Sharon Wilson (Plaintiff) Dwight J. Staples HENDERSON HENDERSON & STAPLES 711 1/2 Fifth Avenue Huntington, WV 25701 304/523-5732 304/523-5169 (fax) Assigned: 11/17/2010 ATTORNEY TO BE NOTICED representing Harold D. Messinger TERMINATED: 10/27/2011 (Plaintiff) Jeffrey G. Messinger TERMINATED: 10/27/2011 (Plaintiff) Bruce W Steckler Baron & Budd PC 3102 Oak Lawn Avenue Dallas, TX 75219 214-521-3605 bsteckler@baronbudd.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Adilia Aviles (Plaintiff) Jennifer Wendy Burke (Plaintiff) Suzette L. Farrelly (Plaintiff) Timothy P. Farrelly (Plaintiff) Joseph W Steele Steele and Biggs 5664 South Green Street Salt Lake City, UT 84123 801-266-0999 801-266-1338 (fax) Assigned: 05/11/2011 ATTORNEY TO BE NOTICED representing Kyler Lloyd TERMINATED: 07/27/2011 (Plaintiff) Makenna Lloyd TERMINATED: 07/27/2011 (Plaintiff) Robert J Stein, III AlvaradoSmith APC 1 MacArthur Place Suite 200 Santa Ana, CA 92707 714-852-6800 714-852-6899 (fax) rstein@alvaradosmith.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Jessica M. Kramer TERMINATED: 05/04/2010 (Plaintiff) Robert Alan Steinberg Waite Schneider Bayless & Chesley Co LPA 1513 Central Trust Tower 5 West Fourth Street Cincinnati, OH 45202 513-621-0267 bobsteinberg@wsbclaw.com Assigned: 05/12/2010 TERMINATED: 07/13/2012 representing Ernestine Montgomery (Plaintiff) Hugh W Cox (Plaintiff) Pamela M Cox (Plaintiff) Honorable Paul Turner (Plaintiff) Erica Thomas (Plaintiff) Gloria Haynes (Plaintiff) Huey Pierce Haynes, II (Plaintiff) Kyle Briggs (Plaintiff) Lori S Trahan (Plaintiff) Thomas A Trahan (Plaintiff) Charles Gibbens TERMINATED: 03/23/2011 (Plaintiff) Karen Gibbens TERMINATED: 03/23/2011 (Plaintiff) Al Viviano TERMINATED: 03/31/2011 (Plaintiff) Jo Anna Viviano TERMINATED: 03/31/2011 (Plaintiff) Allan L Weller (Plaintiff) Brenda Shonfield (Plaintiff) Connie Kamphaus (Plaintiff) Holly Boyd (Plaintiff) Lee Shonfield (Plaintiff) Shalini Ignatenkov (Plaintiff) Thomas Kamphaus TERMINATED: 03/31/2011 (Plaintiff) Harold D. Messinger TERMINATED: 10/27/2011 (Plaintiff) Jeffrey G. Messinger TERMINATED: 10/27/2011 (Plaintiff) Victor Levey (Plaintiff) Bonnie Jackson (Plaintiff) Cornelia Neely (Plaintiff) Arlene Stevens Trief & Olk 150 East 58th Street New York, NY 10155 212-486-6060 Assigned: 09/23/2010 ATTORNEY TO BE NOTICED representing James R. Haustein (Plaintiff) Chad E Stewart Beasley Allen Crow Methvin Portis and Miles PC Post Office Box 4160 Montgomery, AL 36103-4160 334-269-2343 334-954-7555 (fax) chad.stewart@beasleyallen.com Assigned: 06/17/2011 ATTORNEY TO BE NOTICED representing John Harding (Plaintiff) Michael G Stewart Branstetter Stranch & Jennings PLLC 227 Second Avenue North 4th Floor Nashville, TN 37201 615-254-8801 615-250-3937 (fax) mikes@branstetterlaw.com Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Gary Brown (Plaintiff) James Peterschmidt TERMINATED: 09/25/2012 (Plaintiff) Kathy Kallenbach TERMINATED: 09/25/2012 (Plaintiff) Christopher David Stock Markovits, Stock & DeMarco, LLC 119 East Court Street, Suite 530 Cincinnati, OH 45202 513-651-3700 Cstock@msdlegal.com Assigned: 05/14/2010 TERMINATED: 09/05/2012 representing Honorable Paul Turner (Plaintiff) Allan L Weller (Plaintiff) Brenda Shonfield (Plaintiff) Connie Kamphaus (Plaintiff) Erica Thomas (Plaintiff) Ernestine Montgomery (Plaintiff) Holly Boyd (Plaintiff) Hugh W Cox (Plaintiff) Kyle Briggs (Plaintiff) Lee Shonfield (Plaintiff) Lori S Trahan (Plaintiff) Pamela M Cox (Plaintiff) Shalini Ignatenkov (Plaintiff) Thomas A Trahan (Plaintiff) Charles Gibbens TERMINATED: 03/23/2011 (Plaintiff) Karen Gibbens TERMINATED: 03/23/2011 (Plaintiff) Al Viviano TERMINATED: 03/31/2011 (Plaintiff) Jo Anna Viviano TERMINATED: 03/31/2011 (Plaintiff) Thomas Kamphaus TERMINATED: 03/31/2011 (Plaintiff) James R. Stocks Lannom & Williams 137 Public Square Lebanon, TN 37087 (615) 444-2900 (615) 444-6516 (fax) jimstocks@lannomwilliams.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Jonathan Scillian (Plaintiff) Joyce Ann Atnip (Plaintiff) Lesley Scillian (Plaintiff) Steven J Stone JAMS, Inc 500 North State College Boulevard 14th Floor Orange, CA 92868 714-939-1300 714-939-8710 (fax) bmccafferty@jamsadr.com Assigned: 02/16/2012 LEAD ATTORNEY ATTORNEY TO BE NOTICED representing Steven Stone 500 N. State College Blvd. 14th Floor Orange, CA 92868 cdoll@jamsadr.com (Special Master) Gene J Stonebarger Stonebarger Law, APC 75 Iron Point Circle Suite 145 Folsom, CA 95630 916-235-7140 916-235-7141 (fax) gstonebarger@stonebargerlaw.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Heather A. Lane (Plaintiff) Leslie M Stovall Leslie Mark Stovall 3216 West Charleston Blvd., #B Las Vegas, NV 89102 (702) 258-3034 (702) 258-0093 (fax) lynn@lesstovall.com Assigned: 02/02/2012 ATTORNEY TO BE NOTICED representing Allison Branch (Plaintiff) Austin Branch (Plaintiff) Yvonne Branch (Plaintiff) J Gerard Stranch, IV Branstetter Stranch & Jennings PLLC 227 Second Avenue North 4th Floor Nashville, TN 37201-1631 615-254-8801 615-255-5419 (fax) gerards@branstetterlaw.com Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Gary Brown (Plaintiff) James Peterschmidt TERMINATED: 09/25/2012 (Plaintiff) Kathy Kallenbach TERMINATED: 09/25/2012 (Plaintiff) Brian R Strange Strange and Carpenter 12100 Wilshire Boulevard Suite 1900 Los Angeles, CA 90025 310-207-5055 310-826-3210 (fax) lacounsel@earthlink.net Assigned: 04/13/2010 ATTORNEY TO BE NOTICED representing Kerri Madden (Plaintiff) Michael Houlf (Plaintiff) Angela Gilbert Strickland Bowman and Brooke 1441 Main Street Suite 1000 Columbia, SC 29201 803-726-0024 angela.strickland@bowmanandbrooke.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) David C W Stuart Stuart Law Office 353 North Broadway Georgetown, KY 40324 859-396-4257 502-863-3085 (fax) stuartlawplc@aol.com Assigned: 02/17/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing Gerald Dale Mason (Plaintiff) Janie M. Mason (Plaintiff) Robert C Sullivan Sullivan Morgan and Chronic LLC 1600 Baltimore Avenue Suite 200 Kansas City, MO 64108 816-221-9922 816-817-1962 (fax) rsullivan@smctriallawyers.com Assigned: 05/07/2010 TERMINATED: 10/13/2011 representing Wilma Lentz (Plaintiff) Lionel Howard Sutton, III Lionel Sutton, III, Attorney at Law 610 Baronne St. New Orleans, LA 70113 504-592-3230 lhs3law@hotmail.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Pamela Frederickson (Plaintiff) Suzanne H Swaner Bowman and Brooke LLP 2501 North Harwood Street Suite 1700 Dallas, TX 75201 972-616-1700 972-616-1701 (fax) suzanne.swaner@bowmanandbrooke.com Assigned: 09/09/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Manufacturing Texas, Inc. (Defendant) Yonet Gardiner (Plaintiff) Stephen L. Swann Law Offices of Stephen L Swann 1702 North Wakefield Street Arlington, VA 22207 703-243-7938 703-342-0403 (fax) swann.lemonlaw@gmail.com Assigned: 07/27/2010 ATTORNEY TO BE NOTICED representing Doug V. Goodwin TERMINATED: 06/22/2011 (Plaintiff) William M Sweetnam Sweetnam LLC 707 Skokie Boulevard Suite 600 Northbrook, IL 60062 847-498-7500 847-919-4399 (fax) wms@sweetnamllc.com Assigned: 04/30/2010 LEAD ATTORNEY PRO HAC VICE ATTORNEY TO BE NOTICED representing Joseph R Hernandez (Plaintiff) David J. Szerlag Pritzker Olsen, P.A. 45 South 7th Street, #2950 Minneapolis, MN 55401 612-338-0202 612-338-0104 (fax) david@pritzkerlaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Dennis J. Waugh (Plaintiff) Mindy A. Corrigan (Plaintiff) Paul G Szumiak Atkinson Andelson Loya Ruud and Romo 12800 Center Court Drive Suite 300 Cerritos, CA 90703 562-653-3200 562-653-3333 (fax) pszumiak@aalrr.com Assigned: 04/26/2010 TERMINATED: 09/30/2011 representing Deluxe Holdings, Inc. (Plaintiff) SPP Inc (Plaintiff) Michael Jermakian (Plaintiff) Stuart C Talley Kershaw Cutter & Ratinoff LLP 401 Watt Avenue Sacramento, CA 95864 916 448 9800 916 669 4499 (fax) stalley@kcrlegal.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Ernest Cornell (Plaintiff) Mark J Tamblyn Office of the Attorney General 1300 I Street Suite 125 Sacramento, CA 95814 916-324-8630 mark.tamblyn@doj.ca.gov Assigned: 04/15/2010 TERMINATED: 12/09/2011 representing Peter Wisner (Plaintiff) Matthew J Tamel Bowman & Brooke LLP 1741 Technology Drive Suite 200 San Jose, CA 95110-1355 408-279-5393 Assigned: 02/25/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Dana B Taschner Lanier Law Firm 2049 Centry Park East Suite 1940 Los Angeles, CA 90067 310-277-5100 310-277-5103 (fax) dbt@lanierlawfirm.com Assigned: 04/12/2010 ATTORNEY TO BE NOTICED representing Catherine Nguyen (Plaintiff) Malina Salvador (Plaintiff) T Leigh Beard (Plaintiff) Carolyn C Wachtel (Plaintiff) Thomas Lee Wachtel, MD (Plaintiff) Charles Turner (Plaintiff) Gene Peay Darrah (Plaintiff) Holly Sue Knighton (Plaintiff) Paul Richard Knighton (Plaintiff) Philip James Darrah (Plaintiff) David Ross (Plaintiff) Tanya Ross (Plaintiff) Clayton Q Aukland (Plaintiff) Romanus Akamike (Plaintiff) James Schreckengost Sr TERMINATED: 09/24/2010 (Plaintiff) Patricia Schreckengost TERMINATED: 09/24/2010 (Plaintiff) Beverly Ann Martell (Plaintiff) Mike Martell (Plaintiff) Ann Snider (Plaintiff) Dennis Snider (Plaintiff) Todd Tatelman Office of General Counsel US House of Representatives 219 Cannon House Office Building Washington, DC 20515 202-225-9700 202-226-1360 (fax) Todd.Tatelman@mail.house.gov Assigned: 04/06/2012 ATTORNEY TO BE NOTICED representing Committee on Energy & Commerce of the United States House of Representatives The (Movant) Rene P Tatro Tatro Tekosky Sadwick LLP 333 South Grand Avenue Suite 4270 Los Angeles, CA 90071 213-225-7171 213-225-7151 (fax) renetatro@ttsmlaw.com Assigned: 07/13/2012 ATTORNEY TO BE NOTICED representing Sean Kane (ThirdParty Plaintiff) Elizabeth L. Taylor Flaherty Sensabaugh & Bonasso PO Box 3843 Charleston, WV 25338-3843 304-345-0200 304-345-0260 (fax) etaylor@fsblaw.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing West Virginia, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Denso International America, Inc., (Defendant) Lindsey H Taylor Carella Byrne Bain Gilfillan Cecchi Stewart & Olstein 5 Becker Farm Road Roseland, NJ 07068 973-994-1700 973-994-1744 (fax) ltaylor@carellabyrne.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Lu Li TERMINATED: 05/04/2010 (Plaintiff) Maureen Colaberdino (Plaintiff) Michael Ross Tein Lewis Tein 3059 Grand Avenue Suite 340 Coconut Grove, FL 33133 305-442-1101 442-6744 (fax) Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Morse Operations, Inc. (Defendant) Stewart Agency, Inc. (Defendant) Toyota Motor Corporation (Defendant) Bruce S Terlep Swanson, Martin & Bell, LLP 2525 Cabot Dr Ste 204 Lisle, IL 60532 630-799-6900 bterlep@smbtrials.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Timothy Rolland Tesh RESSLER & TESH 821 SECOND AVE STE 2200 SEATTLE, WA 98104 206-388-0333 206-388-0197 (fax) tim@randtlaw.com Assigned: 12/20/2011 ATTORNEY TO BE NOTICED representing Karen Mueller (Plaintiff) David B Thomas Allen Guthrie McHugh and Thomas P O Box 3394 Charleston, WV 25333-3394 304-345-7250 Assigned: 04/19/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing West Virginia, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Roy B Thompson Thompson & Bogran PC 15938 Southwest Quarry Road Suite B-6 Lake Oswego, OR 97035 503-245-6600 503-244-8399 (fax) roythompson@comcast.net Assigned: 05/10/2010 ATTORNEY TO BE NOTICED representing Suzzane McCoy (Plaintiff) John B. Thorsness Clapp, Peterson, Van Flein, Tiemessen & Thorsness, LLC 711 H. Street, Suite 620 Anchorage, AK 99501-3454 907-272-9272 907-272-9586 (fax) usdc-anch-ntc@cplawak.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Thomas P. Thrash Thrash Law Firm 1101 Garland Street Little Rock, AR 72201 (501) 374-1058 tomthrash@sbcglobal.net Assigned: 05/10/2010 ATTORNEY TO BE NOTICED representing Julie Rainwater (Plaintiff) Tracy Tien Finkelstein Thompson LLP 100 Bush Street Suite 1450 San Francisco, CA 94104 415-398-8700 tracyhtien@gmail.com Assigned: 05/05/2010 ATTORNEY TO BE NOTICED representing Charles Saba (Plaintiff) Robyn Saba (Plaintiff) Stacey Tjon Bossart Solberg Stewart Miller and Tjon PO Box 1897 Fargo, ND 58107-1897 701-237-3166 701-237-4627 (fax) Assigned: 06/04/2010 TERMINATED: 08/07/2012 representing Dale Karjala (Plaintiff) Mark Fraase (Plaintiff) Wade H. Tomlinson, III Pope McGlamry Kilpatrick, Morrison & Norwood, LLP P.O. Box 2128 1111 Bay Avenue (Zip Code 31901-2412) Suite 450 Columbus, GA 31902-2128 706-324-0050 triptomlinson@pmkm.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Jane Saint Drake (Plaintiff) Paul V. Kilpatrick, III (Plaintiff) Fletcher V Trammell Bailey Perrin Bailey 440 Louisiana Street Suite 2100 Houston, TX 77002 713-425-7100 713-425-7101 (fax) ftrammell@bpblaw.com Assigned: 04/12/2010 TERMINATED: 05/25/2011 representing Dale Roberts (Plaintiff) Jasbir Grewal TERMINATED: 12/08/2010 (Plaintiff) Ted Trief Trief & Olk 40 W 57th St New York, NY 10019 212-262-1010 ttrief@triefandolk.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing James R. Haustein (Plaintiff) John R. Trigg Wheeler Trigg O'Donnell, LLP 1801 California Street #3600 Denver, CO 80202-2617 303-244-1800 294-1879 (fax) trigg@wtotrial.com Assigned: 01/19/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Clem C Trischler Pietragallo Gordon Alfano Bosick and Raspanti LLP One Oxford Center 301 Grant Street 38th Floor Pittsburgh, PA 15219 412-263-2000 412-263-2001 (fax) cct@pietragallo.com Assigned: 09/09/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) John K Trotter, Jr JAMS Inc 500 North State College Boulevard 14th Floor Orange, CA 92868 714-939-1300 714-939-8710 (fax) jtrotter@jamsadr.com Assigned: 02/16/2012 LEAD ATTORNEY ATTORNEY TO BE NOTICED representing John K Trotter Judicial Arbitration & Mediation Services Inc 500 N State College Blvd 14th floor Orange, CA 92868 cdoll@jamsadr.com (Special Master) Thomas W. Tucker Tucker, Everitt, Long, Brewton & Lanier, PC P.O. Box 2426 Augusta, GA 30903 706-722-0771 706-722-7028 (fax) ttucker@thefirm453.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Amanda Laird (Plaintiff) Christine Schara (Plaintiff) Rebecca Clifton (Plaintiff) Eugene Coursey Tullos TULLOS & TULLOS P. O. Box 74 Raleigh, MS 39153-0074 601/782-4242 601/782-4212 (fax) gene_tullos@bellsouth.net Assigned: 10/11/2012 ATTORNEY TO BE NOTICED representing Jimmy Brown (Plaintiff) Dale H. Tuttle GLASSMAN EDWARD WADE & WYATT, PC 26 N. Second Street Memphis, TN 38103 901-527-4673 901-521-0940 (fax) dtuttle@gewwlaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Louis Pera, Jr. (Plaintiff) Melissa A. Tweardy PAOLI & BROWN 120 West Callender Street Livingston, MT 59047 406-222-4420 mtweardy@bridgeband.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Darrell P. Quintana (Plaintiff) Mitchell M Z Twersky Abraham Fruchter & Twersky LLP One Penn Plaza Suite 2805 New York, NY 10119 212-279-5050 212-279-3655 (fax) mtwersky@aftlaw.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing David Rosenberg (Plaintiff) Anthony Martin Urie 18130 MIDVALE AVENUE N SHORELINE, WA 98133 206-542-4066 anthonyurie@gmail.com Assigned: 06/08/2010 ATTORNEY TO BE NOTICED representing Edward Wojeck (Plaintiff) Sharon L Van Dyck Van Dyck Law Firm, PLLC 5354 Parkdale Dr Ste 103 St Louis Park, MN 55416 952-746-1095 952-746-1096 (fax) sharon@vandycklaw.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Devra Glassman (Plaintiff) George C Weyer (Plaintiff) Jason Kaufmann (Plaintiff) Royce L. Vehslage Vehslage & Lahr LLP 1160 Silas Deane Highway Suite 102 Wethersfield, CT 06109 860-257-7100 860-257-7104 (fax) rvehslage@vllawgroup.com Assigned: 05/07/2010 representing General Motors, LLC. TERMINATED: 08/13/2010 (Defendant) J Karl Viehman Bowman and Brooke LLP 2501 North Harwood Street Suite 1700 Dallas, TX 75201 972-616-1700 972-616-1701 (fax) karl.viehman@bowmanandbrooke.com Assigned: 09/09/2010 PRO HAC VICE representing Toyota Motor North America, Inc. (Defendant) Aisan Industry Co., Ltd. (Defendant) Gulf States Toyota, Inc. (Defendant) James Hodge, Inc. (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) CTS Corporation TERMINATED: 12/15/2010 (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Richard M Volin Finkelstein Thompson and Loughran 1050 30th Street N W Washington, DC 20007 202-337-8000 rvolin@finkelsteinthompson.com Assigned: 05/05/2010 TERMINATED: 11/02/2012 ATTORNEY TO BE NOTICED representing Charles Saba (Plaintiff) Robyn Saba (Plaintiff) Vuk Stevan Vujasinovic Vujasinovic and Beckcom LLP 1001 Texas Ave Ste 1020 Houston, TX 77002 713-224-7800 713-224-7801 (fax) vuk@vbattorneys.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Brenda Bishop (Plaintiff) NORWOOD SHERMAN WILNER WILNER BLOCK PA - JACKSONVILLE FL 444 E DUVAL ST THIRD FLR JACKSONVILLE, FL 32202 904-446-9817 904-446-9825 (fax) nwilner@wilnerfirm.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Jim Heidenreich (Plaintiff) Todd A Walburg Lieff Cabraser Heimann and Bernstein 275 Battery Street 29th Floor San Francisco, CA 94111-3339 415-956-1000 415-956-1008 (fax) twalburg@lchb.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Jacquelyn Donoghue (Plaintiff) Teresa B. Myers TERMINATED: 06/11/2010 (Plaintiff) William C. Myers TERMINATED: 06/11/2010 (Plaintiff) Andrew Flury (Plaintiff) David Hanna (Plaintiff) Donna Hanna (Plaintiff) Harry Williams (Plaintiff) Jill Bond (Plaintiff) Joel Bond (Plaintiff) Joseph Christian (Plaintiff) Kirk Crank (Plaintiff) Mary Jo Crank (Plaintiff) Sandra Livingston (Plaintiff) Tetyana Flury (Plaintiff) Robert Booher TERMINATED: 06/30/2010 (Plaintiff) Jerome Cangelosi TERMINATED: 09/28/2010 (Plaintiff) Lori Cangelosi TERMINATED: 09/28/2010 (Plaintiff) Lorrie Krieger TERMINATED: 09/28/2010 (Plaintiff) Judy Warren TERMINATED: 10/01/2010 (Plaintiff) Omar Roberts (Plaintiff) Brian Barlow TERMINATED: 01/28/2011 (Plaintiff) Hae Chang (Plaintiff) Camille McCormick TERMINATED: 07/02/2010 (Plaintiff) Anita Jorge TERMINATED: 11/15/2011 (Plaintiff) Carol Hatzman TERMINATED: 09/28/2010 (Plaintiff) Dwayne Watkins, Jr. (Plaintiff) Eduardo Recinos (Plaintiff) Rosario Garcia (Plaintiff) Deborah Mayton (Plaintiff) Thomas Mayton (Plaintiff) Demetrice Bibbins (Plaintiff) Paul Spisto (Plaintiff) Geraldine Haddad (Plaintiff) Judy Barzare (Plaintiff) Michael Barzare (Plaintiff) Carlos Espino TERMINATED: 11/21/2011 (Plaintiff) Howard Sportsman (Plaintiff) Margaret Bocskor (Plaintiff) Margaret Daly (Plaintiff) Margaret Sportsman (Plaintiff) Michael Daly (Plaintiff) William Givens, II (Plaintiff) Thelma Sue Jude (Plaintiff) Lawrence Cross 47 Beaver Street Cooperstown, NY 13326 (Plaintiff) Gerald Murphy (Plaintiff) Ida Starr St John (Plaintiff) Stefanie Cece (Plaintiff) Walter Scott Tarter (Plaintiff) Larissa Parker (Plaintiff) Dennis Sowders (Plaintiff) Margaret Sowders (Plaintiff) Cameron Van Alfen (Plaintiff) Casey Van Alfen (Plaintiff) Charley Alton Jones (Plaintiff) Joseph R Graybeal (Plaintiff) Makenna Lloyd (Plaintiff) Mark Roundy (Plaintiff) Patricia B Graybeal (Plaintiff) Saundra Hill Scott (Plaintiff) Shirlene Van Alfen (Plaintiff) Travis Van Alfen (Plaintiff) Sandra Jolene Jones TERMINATED: 10/06/2011 (Plaintiff) Cathy Whitaker (Plaintiff) Linda Cline (Plaintiff) Dorothy Fisher Weed (Plaintiff) Perry Lewis Weed (Plaintiff) Alvarez-Perez Conjugal Partnership (Plaintiff) Ananda (Plaintiff) Auto Lenders Liquidation Center, Inc. (Plaintiff) Bureau Chief Laura Green (Plaintiff) Deluxe Holdings, Inc. (Plaintiff) G&M Motors, Inc. (Plaintiff) Green Spot Motors Co (Plaintiff) Honorable Paul Turner (Plaintiff) Jasni (Plaintiff) LaRocca's Auto Sales, Inc. (Plaintiff) SPP Inc (Plaintiff) Similarly Situated John and Jane Does (Plaintiff) State Farm Mutual Automobile Insurance Company (Plaintiff) Susan Rifken Ltd (Plaintiff) Aaron Austin (Plaintiff) Aaron Green (Plaintiff) Aaron Jones (Plaintiff) Ada Roldan-Soto (Plaintiff) Adam Aleszczyk (Plaintiff) Adeniyi Toriola (Plaintiff) Adilia Aviles (Plaintiff) Adrian Lagakos (Plaintiff) Akop Galadzhyan (Plaintiff) Albert Bosse (Plaintiff) Albert A. Pena, III (Plaintiff) Alex Farrugia (Plaintiff) Alexandre Louis (Plaintiff) Alfred Shepard (Plaintiff) Alfredo Hernandez Barranco (Plaintiff) Alice Thall (Plaintiff) Allan L Weller (Plaintiff) Allie R Rockforte (Plaintiff) Allison Branch (Plaintiff) Dr Aly A Mahmoud (Plaintiff) Alyson L. Oliver (Plaintiff) Amanda Laird (Plaintiff) Amanda R Maillho (Plaintiff) Amanda J. Noble (Plaintiff) Amelfis Rojas (Plaintiff) Amy S Reichek (Plaintiff) Amy Smith Roth (Plaintiff) Aneste Edmond (Plaintiff) Angela Boles (Plaintiff) Ani Gazaryan (Plaintiff) Ann Cavalier (Plaintiff) Ann Fleming-Weaver (Plaintiff) Ann Snider (Plaintiff) Anthony Bonacci (Plaintiff) Anthony Crespo (Plaintiff) Anthony Georges-Pierre (Plaintiff) Anthony M. Georges-Pierre (Plaintiff) Antonio Ramos (Plaintiff) Aristin Joseph (Plaintiff) Arlene Caylor (Plaintiff) Arlene S. Heilbrunn (Plaintiff) Austin Branch (Plaintiff) Aza Srourian (Plaintiff) BEVERLY MORGAN (Plaintiff) Barbara Iglesias (Plaintiff) Barbara Jackson (Plaintiff) Barbara Saunders (Plaintiff) Barry Karlin (Plaintiff) Beatrice Jackson (Plaintiff) Belva Simmons (Plaintiff) Benjamin L Carriere (Plaintiff) Benjamin Hughes (Plaintiff) Bernadine Shepard (Plaintiff) Bertam Srourian (Plaintiff) Betsy Havens (Plaintiff) Betty Tomlin (Plaintiff) Beverly Ifergan (Plaintiff) Beverly Ann Martell (Plaintiff) Beverly Yip (Plaintiff) Bianca Prade (Plaintiff) Boniface Sylvestre (Plaintiff) Bonnie Jackson (Plaintiff) Bonnie Shansky (Plaintiff) Brenda Bishop (Plaintiff) Brenda E. Burack (Plaintiff) Brenda Shonfield (Plaintiff) Brenda A Whaley (Plaintiff) Brian Caya (Plaintiff) Brian Deis (Plaintiff) Bridgette Scott (Plaintiff) Bridie Doino (Plaintiff) Brunel Hilaire (Plaintiff) Bryon Hawes (Plaintiff) Burton Field (Plaintiff) CARLISLE B. KINKADE (Plaintiff) CESARE COSLOP, IV (Plaintiff) CHRISTINE L. PERSONS (Plaintiff) CULLEN KIRKPATRICK (Plaintiff) Carl Nyquist (Plaintiff) Carol Ann Henderson (Plaintiff) Carole Fisher (Plaintiff) Carole R. Young (Plaintiff) Carolyn Boudoin (Plaintiff) Carolyn Ford (Plaintiff) Carolyn C Wachtel (Plaintiff) Catherine De Bruin (Plaintiff) Catherine Donohue (Plaintiff) Catherine Lebson (Plaintiff) Catherine Nguyen (Plaintiff) Catherine Roe (Plaintiff) Cathy Cisetti (Plaintiff) Cathy Miller (Plaintiff) Chairul Lubis (Plaintiff) Charlene Tran (Plaintiff) Charles Henry (Plaintiff) Charles E. Pittman (Plaintiff) Charles Saba (Plaintiff) Charles Turner (Plaintiff) Charmayne Bennett (Plaintiff) Cheng Li Zhang (Plaintiff) Cheryl Abken (Plaintiff) Chris Chan Park (Plaintiff) Christina Ochs (Plaintiff) Christine Aznavour (Plaintiff) Christine Carr (Plaintiff) Christine Fogh (Plaintiff) Christine Hotaling (Plaintiff) Christine Mitchell (Plaintiff) Christine Schara (Plaintiff) Christopher Carlson (Plaintiff) Christopher L. Leaverton (Plaintiff) Cindy L. 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GEDID 921 Mclaughlin Run Road Bridgeville, PA 15017 (412) 758-7599 (Plaintiff) K. R. 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) Denese Rhooms 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) Dwayne Rhooms 104 Palm Beach Place Suite 1 Virginia Beach, VA 23452 (Plaintiff) Bernadine Carter 137 Acklen Ave. Houma, LA 70363 (Plaintiff) Elizabeth Hartman 139 King Street Houma, LA 70363 (Plaintiff) Jeremy Beale 1411 Allanwood Lane Dayton, OH 45432 (Plaintiff) Kristina Beale 1411 Allanwood Lane Dayton, OH 45432 (Plaintiff) Mary O'Rourke 1938 Sugarwood Circle Bellbrook, OH 45305 (Plaintiff) Michael Miranda 2013 Angela Street Arabi, LA 70032 TERMINATED: 08/12/2011 (Plaintiff) Frances Hines 23 Westminster Avenue Roxbury, MA 02119 617-427-9988 (Plaintiff) Joseph Buccier 2606 Park Drive Cleveland, OH 44130 (Plaintiff) Lakenya Riley 4326 Huttig Highway Huttig, AR 71747 870-310-4789 TERMINATED: 10/05/2012 (Plaintiff) PRO SE Burnell Meeks 4926 Woodridge Dr., Apt. F Middletown, OH 45044 (Plaintiff) Lavergne Short 505 Woodside Drive Houma, LA 70363 (Plaintiff) Patrick Mann 512 SE Wingate Street Lee's Summit, MO 64063 (Plaintiff) Sunil P. George 56 Kensington Ct Hempstead, NY 11550 516-485-6835 (Plaintiff) Jerry Baker Auto Sales, LLC 600 Industrial Road Sedalia, MO 65301 (Plaintiff) Tyson Markham 637 E. 72nd Terrace Kansas City, MO 64131 (Plaintiff) David Hulsen 6641 Oak Street Kansas City, MO 64113 (Plaintiff) Diane Krock 8025 NW 120th St Reddick, FL 32686 (Plaintiff) Kai Shemsu 8533 Joshire Place Centerville, OH 45459 (Plaintiff) Todd A. Walburg Lieff Cabraser Heimann & Bernstein, LLP (CA) 275 Battery St 29th Fl San Francisco, CA 94111 415 956-1000 twalburg@lchb.com Assigned: 10/31/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing Adrian Lagakos (Plaintiff) Colleen Krause (Plaintiff) David Lagakos (Plaintiff) Lawrence W Huffman (Plaintiff) Patricia L Huffman (Plaintiff) Jon Barry Waldorf The Rose Law Firm, PLLC 501 New Karner Road, Suite 11 Albany, NY 12205 518-869-9200 518-869-3334 (fax) JWaldorf@theroselawfirm.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Mary Beth Walker Office of General Counsel US House of Representatives 219 Cannon House Office Building Washington, DC 20515 202-225-9700 202-226-1360 (fax) MaryBeth.Walker@mail.house.gov Assigned: 04/06/2012 PRO HAC VICE ATTORNEY TO BE NOTICED representing Committee on Energy & Commerce of the United States House of Representatives The (Movant) Kyle G A Wallace Alston & Bird LLP 1201 West Peachtree Street Atlanta, GA 30309 404-881-7000 404-881-7777 (fax) kyle.wallace@alston.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor Manufacturing West Virginia, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Aaron Ross Walner Walner Law Firm, Ltd. 150 North Wacker Drive Suite 2150 Chicago, IL 60606-1675 312-201-1616 walner@walnerlawfirm.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Burton Field (Plaintiff) Joanne Lermar (Plaintiff) Robert Kogen (Plaintiff) Sheldon Kogen (Plaintiff) Lawrence Walner Lawrence Walner & Associates 20 North Clark Street Suite 2450 Chicago, IL 60606 312-201-1616 312-201-1616 (fax) walner@walnerlawfirm.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Burton Field (Plaintiff) Joanne Lermar (Plaintiff) Robert Kogen (Plaintiff) Sheldon Kogen (Plaintiff) Gene R Ward Demars Hornblower Manning & Ward P O Box 2728 Corpus Christi, TX 78403-2728 512-888-8041 grw@hmwpc.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Jasper Dudley Ward, IV Jones Ward PLC 312 South 4th Street 6th Floor Louisville, KY 40202 502-882-6000 502-587-2007 (fax) jasper@jonesward.com Assigned: 02/25/2011 PRO HAC VICE ATTORNEY TO BE NOTICED representing Edgardo Soliman (Plaintiff) Ron Ellis (Plaintiff) Sylvia Gausch (Plaintiff) Sylvia Guasch (Plaintiff) Todd Allen (Plaintiff) Wilma Herrera (Plaintiff) Carolina Salvador TERMINATED: 10/27/2011 (Plaintiff) Veronica Anderson (Plaintiff) Edgardo Soliman TERMINATED: 10/27/2011 (Plaintiff) Wilma Herrera TERMINATED: 10/27/2011 (Plaintiff) CARLISLE B. KINKADE (Plaintiff) Edgardo Soliman (Plaintiff) GENE KINKADE (Plaintiff) NANCY BOEHM (Plaintiff) Todd Allen (Plaintiff) Veronica Anderson (Plaintiff) Wilma Herrera (Plaintiff) Carolina Salvador TERMINATED: 10/27/2011 (Plaintiff) Fay W. Humphrey (Plaintiff) James E. Humphrey (Plaintiff) Laurence F. Siegel (Plaintiff) Samuel M Ward Barrack Rodos and Bacine 600 West Broadway Suite 900 San Diego, CA 92101 619-230-0800 619-230-1874 (fax) sward@barrack.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Max L. Lieberman (Plaintiff) Phyllis C. Lieberman (Plaintiff) Carol Ann Henderson (Plaintiff) Joseph J. Boppre (Plaintiff) Nancy L. Boppre (Plaintiff) Patrick G Warner Climaco Wilcox Peca Taranito and Garofoli Co LPA 383 North Front Street LL Columbus, OH 43215 614-437-2522 614-386-1029 (fax) pgwarn@climacolaw.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Laurence K. Johnston (Plaintiff) Troy Menssen (Plaintiff) Jennifer Lee Glardon (Plaintiff) Irving Jay Warshauer Gainsburgh, Benjamin, David, Meunier & Warshauer Energy Centre 1100 Poydras St. Suite 2800 New Orleans, LA 70163-2800 (504) 522-2304 iwarshauer@gainsben.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Robert Stephen McKinney (Plaintiff) Robert L. Samuels (Plaintiff) Robert VP Waterman, Jr LANE & WATERMAN LLP 220 N MAIN ST SUITE 600 DAVENPORT, IA 52801 563 324 3246 324 1616 (fax) bwaterman@l-wlaw.com Assigned: 07/15/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Richard Wayne Strauss & Troy 2100 Central Trust Center 201 East Fifth St Cincinnati, OH 45202-4186 513-621-2120 Assigned: 05/07/2010 TERMINATED: 08/22/2012 representing Joel Grunkemeyer (Plaintiff) John Sukola (Plaintiff) Sharon Wilson (Plaintiff) Jimmy C. Webb Webb Law Office 187 E. Court Street Prestonsburg, KY 41653 606-886-8899 606-886-9373 (fax) webblawoffice@yahoo.com Assigned: 08/22/2011 ATTORNEY TO BE NOTICED representing Carolyn Ford (Plaintiff) Scott W Weinstein Morgan & Morgan PA 12800 University Drive Suite 600 PO Box 9504 Ft Myers, FL 33906 239-433-6880 239-433-6836 (fax) sweinstein@forthepeople.com Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Michelle Lynch (Plaintiff) Gary M. Weiss Weiss & Cobb Attorneys At Law 9420 Bunsen Parkway Suite 306 Louisville, KY 40220 502-493-1394 502-493-1445 (fax) kathleen@weissandcobb.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Christopher L. Leaverton (Plaintiff) Paul M Weiss Complex Litgation Group LLC 111 West Washington Street Suite 1331 Chicago, IL 60602 312-220-0000 paul@complexlitgroup.com Assigned: 04/15/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Lu Li TERMINATED: 05/04/2010 (Plaintiff) Ray Willis Welcher Cray Huber Horstman Heil & VanAusdal 14365 West 96th Avenue Saint John, IN 46373-8961 219-365-0356 Assigned: 06/04/2010 representing Elvira Gesell (Plaintiff) Hatice Hulya Yigit (Plaintiff) Laura Centeno Jimenez (Plaintiff) Rosalina Diaz (Plaintiff) Melanie Berlieb (Plaintiff) Elizabeth Ahern Wells 2299 Miamisburg Centerville Road Dayton, OH 45459 937-432-9500 beth@ohiolemonlaw.com Assigned: 09/09/2010 ATTORNEY TO BE NOTICED representing Joseph Buccier 2606 Park Drive Cleveland, OH 44130 (Plaintiff) Burnell Meeks 4926 Woodridge Dr., Apt. F Middletown, OH 45044 (Plaintiff) Elizabeth Ahern Wells 2299 Miamisburg Centerville Road Dayton, OH 45459 937-432-9500 beth@ohiolemonlaw.com Assigned: 10/13/2010 ATTORNEY TO BE NOTICED representing Bureau Chief Laura Green (Plaintiff) Aaron Green (Plaintiff) Jim O'Rourke (Plaintiff) Jeremy Beale 1411 Allanwood Lane Dayton, OH 45432 (Plaintiff) Kristina Beale 1411 Allanwood Lane Dayton, OH 45432 (Plaintiff) Mary O'Rourke 1938 Sugarwood Circle Bellbrook, OH 45305 (Plaintiff) Kai Shemsu 8533 Joshire Place Centerville, OH 45459 (Plaintiff) Grace Jackson TERMINATED: 08/26/2011 (Plaintiff) Marvin Jackson TERMINATED: 08/26/2011 (Plaintiff) Christopher P Welsh Welsh Welsh Law Firm 9290 West Dodge Road 100 The Mark Omaha, NE 68114 402-384-8160 cwelsh@welsh-law.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Anthony Bonacci (Plaintiff) Melanie Bonacci (Plaintiff) T. Joseph Wendt BARNES & THORNBURG LLP 11 South Meridian Street Indianapolis, IN 46204 (317) 236-1313 (317) 231-7433 (fax) jwendt@btlaw.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Gerald M Werksman Gerald M Werksman Law Offices 3412 Via Oporto Drive Suite 201 Newport Beach, CA 92663 949-675-5179 werksmanlaw@gmail.com Assigned: 04/19/2010 ATTORNEY TO BE NOTICED representing Brian Deis (Plaintiff) Jason B. Wesoky Franklin D. Azar & Associates, P.C. 14426 East Evans Ave. Aurora, CO 80014 (303) 757-3300 jwesoky@dmsl-law.com Assigned: 06/04/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Edward Isao Funasaki (Plaintiff) Linsey W West Dinsmore and Shohl LLP 200 West Vine Street Suite 500 P.O. Box 1720 Lexington, KY 40588-1720 859-244-7100 859-244-7111 (fax) lwest@dinslaw.com Assigned: 08/22/2011 ATTORNEY TO BE NOTICED representing Brad Hughes Toyota (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor Sales, U.S.A., Inc. (ThirdParty Plaintiff) Michelle M West Robinson Calcagnie Robinson Shapiro Davis Inc 620 Newport Center Drive Suite 700 Newport Beach, CA 92660 949-720-1288 949-720-1292 (fax) mwest@rcrlaw.net Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Barry C. Broden TERMINATED: 10/12/2010 (Plaintiff) Ellyn J. Broden TERMINATED: 10/12/2010 (Plaintiff) Sandy Carmichael (Plaintiff) Pazir Mohammad and Nahyatt Mohammad TERMINATED: 06/24/2010 (Plaintiff) Jacqueline West TERMINATED: 12/10/2010 (Plaintiff) James K Weston, II TOM RILEY LAW FIRM PC 1210 Highway 6 West IOWA CITY, IA 52246 319 351 4996 319 351 7063 (fax) jimw@trlf.com Assigned: 07/15/2011 ATTORNEY TO BE NOTICED representing Kathleen MacTaggart (Plaintiff) Kenneth A Wexler Wexler Wallace LLP 55 West Monroe St Suite 3300 Chicago, IL 60603 312-346-2222 312-346-0022 (fax) kaw@wexlerwallace.com Assigned: 04/12/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Peter Wisner (Plaintiff) James R. Whaley Neblett, Beard & Arsenault Post Office Box 1190 Alexandria, LA 71309-1190 3189-487-9874 jrwhaley@nbalawfirm.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Robyn Horn (Plaintiff) John Randall Whaley Neblett Beard and Arsenault 2220 Bonaventure Court 71301 PO Box 1190 Alexandria, LA 71309-1190 318-487-9874 318-561-2592 (fax) jrwhaley@nbalawfirm.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Thomas Davis (Plaintiff) David Gaspard (Plaintiff) Dorothy Gaspard (Plaintiff) Joyce Ann Atnip (Plaintiff) Robyn Horn (Plaintiff) Ted M. Wedul (Plaintiff) Troy Menssen (Plaintiff) Jerry Baker Auto Sales, LLC 600 Industrial Road Sedalia, MO 65301 (Plaintiff) Joe R Whatley, Jr Whatley Kallas LLC 380 Madison Avenue 23rd Floor New York, NY 10017 212-447-7060 800-922-4851 (fax) jwhatley@whatleykallas.com Assigned: 05/04/2010 LEAD ATTORNEY PRO HAC VICE ATTORNEY TO BE NOTICED representing Kevin Funez (Plaintiff) Lacey Laudicina (Plaintiff) Renita Cipriani (Plaintiff) John Harding (Plaintiff) John Belton White, Jr Harrison White Smith & Coggins PC 178 West Main Street Spartanburg, SC 29304 864-585-5100 864-591-0491 (fax) jwhite@spartanlaw.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Dale Roberts (Plaintiff) Matthew L. White Franklin Gray & White 505 W Ormsby Louisville, KY 40203 502-585-2060 Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Christopher L. Leaverton (Plaintiff) Amy M Wilkins Wilkins Law Firm 530 E. McDowell Rd #107-450 Phoenix, AZ 85004 United Sta 6027950789 awilkins@wilkinslaw.net Assigned: 04/16/2010 TERMINATED: 10/18/2011 representing Christine Hotaling (Plaintiff) Donald Graham (Plaintiff) Ebony Brown (Plaintiff) Elizabeth Van Zyl (Plaintiff) Linda Summerville (Plaintiff) Robert Navarro (Plaintiff) Rodney Josephson (Plaintiff) Thomas E. Gudmundson (Plaintiff) John Flook TERMINATED: 01/30/2012 (Plaintiff) Gary Davis (Plaintiff) E. Brandon Bowron (Plaintiff) Michael Lackey (Plaintiff) Terasita Ramos (Plaintiff) Elizabeth Van Zyl (Plaintiff) Jimmy B. Wilkins WATKINS & EAGER P. O. Box 650 Jackson, MS 39205-0650 (601) 948-6470 jwilkins@watkinseager.com Assigned: 10/11/2012 ATTORNEY TO BE NOTICED representing Toyota Motor Sales, U.S.A., Inc. (ThirdParty Plaintiff) Amanda M Williams Gustafson Gluek PLLC 650 Northstar East 608 Second Avenue South Minneapolis, MN 55402 612-333-8844 612-339-6622 (fax) awilliams@gustafsongluek.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Alyson L. Oliver (Plaintiff) James Michael Bell (Plaintiff) Ted M. Wedul (Plaintiff) B. Keith Williams Lannom & Williams 137 Public Square Lebanon, TN 37087 (615) 444-2900 keithwilliams@lannomwilliams.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Jonathan Scillian (Plaintiff) Joyce Ann Atnip (Plaintiff) Lesley Scillian (Plaintiff) David J Williams STOEL RIVES (UT) 201 South Main Street, Suite 1100 Salt Lake City, UT 84111-4904 801-328-3131 dwilliams@stoel.com Assigned: 12/16/2010 ATTORNEY TO BE NOTICED representing Toyota Motor North America, Inc. (Defendant) H. Wesley Williams, III MARKOW WALKER, P.A. - Jackson P. O. Box 13669 Jackson, MS 39236-3669 601/853-1911 601/853-8284 (fax) wwilliams@markowwalker.com Assigned: 10/11/2012 ATTORNEY TO BE NOTICED representing Jimmy Brown (Plaintiff) John A Willis Fox & Farley 310 North Main Street Clinton, TN 37716 865-457-6440 865-457-6322 (fax) johnwillis@foxandfarleylaw.com Assigned: 09/27/2010 ATTORNEY TO BE NOTICED representing Benjamin Hughes (Plaintiff) Patrick Darrow Wilson Wright, Lindsey & Jennings - Little Rock 200 West Capitol Avenue Suite 2300 Little Rock, AR 72201-3699 501-212-1343 Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Corporation (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Scot D Wilson Robinson Calcagnie Robinson Shapiro Davis Inc 19 Corporate Plaza Drive Newport Beach, CA 92660 949-720-1288 949-720-1292 (fax) swilson@rcrlaw.net Assigned: 11/03/2010 LEAD ATTORNEY ATTORNEY TO BE NOTICED representing Kristie Williams (Plaintiff) Roy Williams (Plaintiff) David Beardsley (Plaintiff) Lynda Bisseger (Plaintiff) Raliegh Scott (Plaintiff) Saundra Hill Scott (Plaintiff) Janice Feaster (Plaintiff) Cameron Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Casey Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Charley Alton Jones TERMINATED: 10/06/2011 (Plaintiff) Makenna Lloyd TERMINATED: 10/06/2011 (Plaintiff) Mark Roundy TERMINATED: 10/06/2011 (Plaintiff) Sandra Jolene Jones TERMINATED: 10/06/2011 (Plaintiff) Shirlene Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Travis Van Alfen TERMINATED: 10/06/2011 (Plaintiff) Cameron Van Alfen (Plaintiff) Casey Van Alfen (Plaintiff) Charley Alton Jones (Plaintiff) Jolene Jones (Plaintiff) Makenna Lloyd (Plaintiff) Mark Roundy (Plaintiff) Shirlene Van Alfen (Plaintiff) Travis Van Alfen (Plaintiff) Behrouz Benyaminpour TERMINATED: 09/11/2012 (Plaintiff) Halen Kerendian TERMINATED: 09/11/2012 (Plaintiff) C Brandon Wisoff Farella Braun & Martel Assigned: 12/07/2010 ATTORNEY TO BE NOTICED representing Toyota Corporation of U.S.A. (Defendant) Toyota Motor Manufacturing, Indiana, Inc. (Defendant) Toyota Technical Center (Defendant) Toyota Technical Center Japan (Defendant) Toytoa Technical Center USA (Defendant) Toyota Financial Services Americas Corp (Defendant) Toyota Industries Corporation (Defendant) Toyota Industries North America Inc (Defendant) Toyota Lease Trust (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor Credit Corp (Defendant) Toyota Motor Engineering (Defendant) Toyota Motor Engineering & America, Inc. (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing California, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor Manufacturing Texas, Inc. (Defendant) Toyota Motor Manufacturing West Virginia, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota North America, Inc. (Defendant) Toyota de Puerto Rico Corp. (Defendant) Martha K Wivell Sheller PC PO Box 339 Cook, MN 55723 218-666-0250 218-666-0250 (fax) mwivell@msn.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Devra Glassman (Plaintiff) George C Weyer (Plaintiff) Jason Kaufmann (Plaintiff) Henri Wolbrette, III McGlinchey Stafford Lang 643 Magazine St New Orleans, LA 70130-3477 504-586-1200 hwolbrette@mcglinchey.com Assigned: 04/16/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) D. Hardison Wood Law Office of D. Hardison Wood 1400 Crescent Green Dr., Suite 100 Cary, NC 27513 919-233-0520 919-233-0521 (fax) dhw@hardisonwood.com Assigned: 12/16/2010 ATTORNEY TO BE NOTICED representing Hope Willard Tabor City, NC (Plaintiff) Russell A. Wood Wood Law Office, P.A. 915 West "B" Street Russellville, AR 72801 479-967-9663 479-967-9664 (fax) woodlaw@suddenlinkmail.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Mark Adkinson (Plaintiff) Allen Woods Law Offices of Woods & Woods P O Box 128498 Nashville, TN 37212 (615) 321-1426 allen@woodsattorneys.com Assigned: 07/19/2010 ATTORNEY TO BE NOTICED representing Debra Young (Plaintiff) Kevin Young (Plaintiff) Edward A Woods Akin Gump Strauss Hauer & Feld LLP 2029 Century Park East Suite 2400 Los Angeles, CA 90067 310-229-1000 310-227-1001 (fax) ewoods@akingump.com Assigned: 04/16/2010 TERMINATED: 03/22/2011 representing Grace Shigematsu (Plaintiff) Ronald Shigematsu (Plaintiff) David C Wright McCune Wright LLP 2068 Orange Tree Lane Suite 216 Redlands, CA 92374-4555 909-557-1250 909 557 1275 (fax) dcw@mccunewright.com Assigned: 04/15/2010 ATTORNEY TO BE NOTICED representing Chris Chan Park (Plaintiff) Donald Pritchett (Plaintiff) Mary Ann Parker (Plaintiff) Seong Bae Choi (Plaintiff) Un Jin Choi (Plaintiff) Sandra Reech TERMINATED: 03/23/2011 (Plaintiff) Brenda E. Burack (Plaintiff) Phillip R. King (Plaintiff) Stephen I. Burack (Plaintiff) Gary A. Wright Wright & LaSalle, LLP 715 West Main Street #201 Aspen, CO 81611 970-925-5625 970-925-5663 (fax) gaw@wrightlasalle.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Wayne S. Harris (Plaintiff) Brad Yamauchi Minami Lew & Tamaki 360 Post St 8th Fl San Francisco, CA 94108 415-788-9000 415-398-3887 (fax) byamauchi@minamitamaki.com Assigned: 04/26/2010 ATTORNEY TO BE NOTICED representing Beverly Yip (Plaintiff) Roberta A Yard Reinhardt Wendorf & Blanchfield 332 Minnesota St Ste E1250 St Paul, MN 55101 651-287-2100 651-287-2103 (fax) r.yard@rwblawfirm.com Assigned: 06/04/2010 ATTORNEY TO BE NOTICED representing Mary Pat Hauck (Plaintiff) Jeffrey M Yeatman DLA Piper LLP US The Marbury Bldg 6225 Smith Ave Baltimore, MD 21209 14105803000 14105803001 (fax) jeffrey.yeatman@dlapiper.com Assigned: 02/03/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Patricia Yoedicke Robins Kaplan Miller & Ciresi LLP 800 LaSalle Ave Ste 2800 Mpls, MN 55402-2015 612-349-8796 612-339-4181 (fax) pyoedicke@rkmc.com Assigned: 03/01/2012 ATTORNEY TO BE NOTICED representing Jasmine Keller (Plaintiff) Kathleen A York Bowman & Brooke LLP 1741 Technology Drive Suite 200 San Jose, CA 95110-5393 408-279-5393 408-279-5845 (fax) kathleen.york@bowmanandbrooke.com Assigned: 02/10/2011 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota North America, Inc. (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor North America, Inc. (Defendant) Douglas R Young Farella Braun and Martel LLP 235 Montgomery Street 18th Floor San Francisco, CA 94104 415-954-4400 415-954-4480 (fax) dyoung@fbm.com Assigned: 12/06/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Corporation of U.S.A. (Defendant) Toyota Financial Services Americas Corp (Defendant) Toyota Industries Corporation (Defendant) Toyota Industries North America Inc (Defendant) Toyota Lease Trust (Defendant) Toyota Motor Corporation (Defendant) Toyota Motor Credit Corp (Defendant) Toyota Motor Engineering (Defendant) Toyota Motor Engineering & America, Inc. (Defendant) Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Manufacturing California, Inc. (Defendant) Toyota Motor Manufacturing Kentucky, Inc. (Defendant) Toyota Motor Manufacturing Texas, Inc. (Defendant) Toyota Motor Manufacturing West Virginia, Inc. (Defendant) Toyota Motor Manufacturing, Indiana, Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Toyota North America, Inc. (Defendant) Toyota Technical Center (Defendant) Toyota Technical Center Japan (Defendant) Toyota de Puerto Rico Corp. (Defendant) Toytoa Technical Center USA (Defendant) James J Yukevich Yukevich Calfo and Cavanaugh 355 South Grand Avenue 15th Floor Los Angeles, CA 90071-1560 213-362-7777 213-362-7788 (fax) jyukevich@yukelaw.com Assigned: 06/15/2010 ATTORNEY TO BE NOTICED representing Denso International America, Inc., (Defendant) Denso Manufacturing Tennessee Inc TERMINATED: 07/27/2010 (Defendant) DENSCO International America (Defendant) Denso Corporation (Interested Party) DENNIS P. ZIEMBA ECKERT SEAMANS CHERIN & MELLOTT LLC TWO LIBERTY PLACE 22ND FLOOR 50 SOUTH 16TH STREET PHILADELPHIA, PA 19102 215-851-8538 215-851-8383 (fax) dziemba@eckertseamans.com Assigned: 05/07/2010 ATTORNEY TO BE NOTICED representing Toyota Motor Engineering & Manufacturing North America, Inc. (Defendant) Toyota Motor Sales U.S.A., Inc. (Defendant) Toyota Motor North America, Inc. (Defendant) Charles S Zimmerman Zimmerman Reed PLLP 651 Nicollet Mall Suite 501 Minneapolis, MN 55402 612-341-0400 charles.zimmerman@zimmreed.com Assigned: 05/07/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Alyson L. Oliver (Plaintiff) Diane Kay Zink Diane K. Zink, Attorney at Law 425 West Airline Highway, Suite B LaPlace, LA 70068 985-651-6101 Assigned: 04/16/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing Gary T Brock (Plaintiff) Philip B Zipin The Zipin Law Firm LLC 8403 Colesville Rd Ste 610 Silver Spring, MD 20910 13015879373 13015879397 (fax) pzipin@zipinlaw.com Assigned: 05/18/2010 ATTORNEY TO BE NOTICED representing Bridgette Scott (Plaintiff) Cadio Zirpoli Saveri & Saveri Inc 706 Sansome Street San Francisco, CA 94111 415-217-6810 415-217-6813 (fax) cadio@saveri.com Assigned: 04/28/2010 ATTORNEY TO BE NOTICED representing Lydia Ellison (Plaintiff) Robert P Zoller Sterns and Weinroth PC 50 W State Street Suite 1400 Trenton, NJ 08607 609-989-5028 609-392-7956 (fax) rzoller@sternslaw.com Assigned: 06/30/2010 PRO HAC VICE ATTORNEY TO BE NOTICED representing BEVERLY MORGAN (Plaintiff) Michael J. Zychowicz Borgstahl & Zychowicz Ltd 6591 West Central Avenue Suite 201 Toledo, OH 43617 419-842-1166 419-842-0303 (fax) mzychowicz@buckeye-express.com Assigned: 07/06/2011 ATTORNEY TO BE NOTICED representing Latasha Burge (Plaintiff)



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