Paul Andrew Mitchell, Sui Juris

c/o Forwarding Agent at:

11230 Gold Express Dr., #310-188

Gold River 95670-4484

CALIFORNIA, USA

 

In Propria Persona

 

All Rights Reserved

without Prejudice

 

 

 

 

 

District Court of the United States

 

Eastern Judicial District of California

 

 

Paul Andrew Mitchell,                 ) #CIV. S-01-1480 WBS DAD PS

                                      )

          Plaintiff,                  ) SECOND SUPPLEMENT TO

                                      ) VERIFIED COMPLAINT FOR

     v.                               ) DAMAGES AND INJUNCTION

                                      ) FOR COPYRIGHT INFRINGEMENT

AOL Time Warner, Inc.,                ) AND RELATED CLAIMS:

Steve Case,                           )

Lennert Leader,                       ) JURY DEMANDED

Randall J. Boe,                       )

Adit Seth,                            )

George R. Boyce,                      )

James R. Bramson,                     )

Daniel Levy,                          )

Jonathan Steuer,                      )

Brian Oblivion,                       )

Donald D. Hoffman,                    )

Karl Kleinpaste,                      )

California Institute of Technology,   )

Carnegie-Mellon University,           )

Cornell University,                   )

Embry-Riddle Aeronautical University, )

Florida Institute of Technology,      )

Indiana University,                   )

Miami University of Ohio,             )

Northeastern University,              )

Pennsylvania State University,        )

Princeton University,                 )

Stanford University,                  )

Stetson University,                   )

Swiss Federal Institute of Technology,)

University of Arkansas,               )

University of California,             )

University of Georgia,                )    [continue next page:]

University of Kansas,                 )

University of Michigan,               )

University of Oregon,                 )

University of Texas, and              )

--------------------------------------)

Barrett Owens,                        )

A2Z Computers & Software,             )

James H. Daugherty,                   )

James Daugherty-AA Research,          )

Internet Domain ALGONET.SE,           )

Mark Creamer,                         )

Internet Domain BAYON.NET,            )

Christopher Kankel,                   )

C I Host,                             )

Desert Video Production,              )

Cyborganic Media,                     )

Alias “Dimitri”,                      )

Carrie Malcolm,                       )

Internet Domain DEOXY.ORG,            )

David W. Starr,                       )

ALH,                                  )

Mitchell A. Goodkin,                  )

Image’FX Productions, Inc.,           )

EZ2 Network, Inc.,                    )

Cybergate, Inc.,                      )

Josh Bempechat,                       )

Earthlink Network, Inc.,              )

Hacked Archives,                      )

Internet Domain INCORPTEK.COM,        )

Telecode,                             )

InfoMagic, Inc.,                      )

Joe Szemiot,                          )

Intac Access Corporation,             )

Internet Online Services,             )

Justsystem Pittsburgh Research Center,)

Leander Pearson,                      )

Burntfork Rural Systems,              )

X Mission,                            )

L0pht Heavy Industries,               )

Levity,                               )

Club Madness,                         )

Maui Global Communications,           )

David Feustel,                        )

Midwest Internet Exchange, Inc., [sic])

Jeff Head,                            )

Internet Domain NEBONET.COM,          )

Kearney, Castillo & Blake,            )

Phreak Network Solutions,             )

J. Wyatt,                             )

Primenet,                             )

Mike McArthur,                        )

Provide Net,                          )

Simple Network Communications, Inc.,  )

Snow Hill Enterprises, Inc.,          )    [continue next page:]

Dave Alexander,                       )

John L. Dortch,                       )

Telalink Corporation,                 )

Thomson Financial Services,           )

Transworld Mail Express,              )

Jahred Held,                          )

Westworld Communications,             )

Luke Stevens,                         )

Msen, Inc.,                           )

COWZ Technologies,                    )

The Works BBS, and                    )

--------------------------------------)

AOL Prime Host,                       )

Justsystem Corporation,               )

Paul Southworth,                      )

The ETEXT Archives,                   )

Ram Samudrala,                        )

Twisted Helices,                      )

Ruffin Prevost,                       )

Parascope, Inc.,                      )

Avalon Tech,                          )

Dan Turkette,                         )

Todd R. Eigenschink,                  )

TEK Interactive Group, Inc.,          )

Mail.com, Inc.,                       )

Sector 13,                            )

Thirteen Technologies, LLC,           )

Jason Scott,                          )

Frank Ch. Eigler,                     )

Elastic BBS, and                      )

Doe’s 79 thru 2,500,                  )

                                      )

          Defendants.                 )

______________________________________)

TABLE OF CONTENTS

                                                       Page

      INTRODUCTION                                       4

      ADDITIONAL DEFENDANTS                              5

      VERIFIED CRIMINAL COMPLAINTS                       6

      DEMANDS FOR SUBSCRIBER IDENTITIES                  7

      NOTICES AND DEMANDS FOR AUTHORIZATION             29

      INCORPORATION OF EXHIBITS                         47

      VERIFICATION                                      47

      LIST OF EXHIBITS                                  48


INTRODUCTION

     After a second careful assessment of all electronic evidence in His possession, Plaintiff again supplements the Initial COMPLAINT within the period allowed for amending complaints without leave of the Court.

This SECOND SUPPLEMENT likewise makes no changes to the Initial COMPLAINT;  it simply adds further facts and evidence, and names further Defendants, as revealed by Plaintiff’s second careful assessment of all electronic evidence in His possession.  That second assessment was performed during the period between April 2001 A.D. and June 2001 A.D., inclusive.

In the course of reviewing all electronic files and documentary exhibits for evidence supporting COUNT SIX: Civil RICO, Plaintiff diligently isolated and refined specific Internet violations, and associated violators.  See 18 U.S.C. §§ 1961, 1962, 1964(c).

To assert His right to compel discovery of subscriber identities, Plaintiff then itemized those specific violations, and violators, in detailed written demands to Internet Service Providers for the identities of specific subscribers and customers.  See 17 U.S.C. 512(h).

Plaintiff then mailed those written demands ‑‑ via first class U.S. Mail, via electronic mail, and via facsimile ‑‑ to the Internet contacts most likely to have knowledge, or records, of the identities of all suspected subscribers and customers.  (See Exhibit “J”.)

Finally, to complete the historical record, Plaintiff attaches true and correct copies of each NOTICE AND DEMAND that Plaintiff mailed to known violators, during the course of this investigation.  Each such NOTICE demanded certified copies of any written authorization(s) they might have received from Plaintiff, permitting them to promote one or more stolen and modified electronic copies of the subject book on the Internet.  (See Exhibit “K”.)

Of course, Plaintiff never authorized anyone, at any time, to host or to promote stolen and modified counterfeits of the subject book anywhere on the Internet.  Therefore, it is not surprising that no certified copies of any written authorizations were ever produced, by any suspects, because no such authorization was ever given to anyone by Plaintiff, at any time.

 

ADDITIONAL DEFENDANTS

     Utilizing the sorted sequences of Internet domains in the Master Index by Domain as of Spring 2001 A.D. (Exhibit D‑51), and in the Master List of Principal Violations (Exhibit D‑43), Plaintiff now formally names additional Defendants as Proper Parties by substituting their proper names, respectively, for a subset of the John Doe’s as found on the caption page of the Initial COMPLAINT:

Doe #61 is now AOL Prime Host.

Doe #62 is now Justsystem Corporation.

Doe #63 is now Paul Southworth.

Doe #64 is now The ETEXT Archives.

Doe #65 is now Ram Samudrala.

Doe #66 is now Twisted Helices.

Doe #67 is now Ruffin Prevost.

Doe #68 is now Parascope, Inc.

Doe #69 is now Avalon Tech.

Doe #70 is now Dan Turkette.

Doe #71 is now Todd R. Eigenschink.

Doe #72 is now TEK Interactive Group, Inc.

Doe #73 is now Mail.com, Inc.

Doe #74 is now Sector 13.

Doe #75 is now Thirteen Technologies, LLC.

Doe #76 is now Jason Scott.

Doe #77 is now Frank Ch. Eigler.

Doe #78 is now Elastic BBS.

VERIFIED CRIMINAL COMPLAINTS

On June 22, 2001 A.D., Plaintiff executed a VERIFIED CRIMINAL COMPLAINT against Defendant Paul Southworth and served same on the Federal Bureau of Investigation (“FBI”) in Detroit, Michigan, USA.  (See Domain ETEXT.ORG.)

A true and correct copy of said CRIMINAL COMPLAINT against Defendant Paul Southworth is attached as Exhibit F‑23.

On June 22, 2001 A.D., Plaintiff executed a VERIFIED CRIMINAL COMPLAINT against Defendant Ram Samudrala and served same on the FBI in Seattle, Washington State.  (See Domains TWISTED‑HELICES.COM, RAM.ORG, and STANFORD.EDU.)

A true and correct copy of said CRIMINAL COMPLAINT against Defendant Ram Samudrala is attached as Exhibit F‑24.

On June 22, 2001 A.D., Plaintiff executed a VERIFIED CRIMINAL COMPLAINT against Defendant Ruffin Prevost and served same on the FBI in Los Angeles, California.  (See Domain PARASCOPE.COM.)

A true and correct copy of said CRIMINAL COMPLAINT against Defendant Ruffin Prevost is attached as Exhibit F‑25.

On June 22, 2001 A.D., Plaintiff executed a VERIFIED CRIMINAL COMPLAINT against Defendant Dan Turkette and served same on the FBI in Fort Wayne, Indiana.  (See Domain MIXI.NET.)

A true and correct copy of said CRIMINAL COMPLAINT against Defendant Dan Turkette is attached as Exhibit F‑26.

On June 22, 2001 A.D., Plaintiff executed a VERIFIED CRIMINAL COMPLAINT against Defendant Todd R. Eigenschink and served same on the FBI in Fort Wayne, Indiana.  (See Domain MIXI.NET.)

A true and correct copy of said CRIMINAL COMPLAINT against Defendant Todd R. Eigenschink is attached as Exhibit F‑27.

On June 22, 2001 A.D., Plaintiff executed a VERIFIED CRIMINAL COMPLAINT against Defendant Jason Scott and served same on the FBI in Boston, Massachusetts.  (See Domain TEXTFILES.COM.)

A true and correct copy of said CRIMINAL COMPLAINT against Defendant Jason Scott is attached as Exhibit F‑28.

On June 22, 2001 A.D., Plaintiff executed a VERIFIED CRIMINAL COMPLAINT against Defendant Frank Ch. Eigler and served same on the FBI in Boston, Massachusetts.  (See Domain ELASTIC.ORG.)

A true and correct copy of said CRIMINAL COMPLAINT against Defendant Frank Ch. Eigler is attached as Exhibit F‑29.

 

DEMANDS FOR SUBSCRIBER IDENTITIES

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the Chief Executive Officer (“CEO”) at Defendant Internet Domain ALGONET.SE at P.O. Box 1160, Stockholm 111 91, SWEDEN.  (See Domain ALGONET.SE.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Internet Domain ALGONET.SE supra, is attached as Exhibit J‑1.

     On April 19, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant AOL Time Warner, Inc., 22000 AOL Way, Dulles 20166, VIRGINIA, USA.  (See Domain AOL.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant AOL Time Warner, Inc. supra, is attached as Exhibit J‑2.

     On April 19, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant AOL Time Warner, Inc., 22000 AOL Way, Dulles 20166, VIRGINIA, USA.  (See Domain AOL.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant AOL Time Warner, Inc. supra, is attached as Exhibit J‑3.

     On April 23, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant AOL Time Warner, Inc., 22000 AOL Way, Dulles 20166, VIRGINIA, USA.  (See Domain AOL.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant AOL Time Warner, Inc. supra, is attached as Exhibit J‑4.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant AOL Time Warner, Inc., 22000 AOL Way, Dulles 20166, VIRGINIA, USA.  (See Domain AOL.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant AOL Time Warner, Inc. supra, is attached as Exhibit J‑5.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant AOL Time Warner, Inc., 22000 AOL Way, Dulles 20166, Virginia, USA.  (See Domain AOL.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant AOL Time Warner, Inc. supra, is attached as Exhibit J‑6.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Internet Domain BAYON.NET, 253 Vestal Parkway East, Vestal 13850, NEW YORK STATE, USA.  (See Domain BAYON.NET.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Internet Domain BAYON.NET supra, is attached as Exhibit J‑7.

     On April 23, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the Designated Agent at Defendant California Institute of Technology, 1200 East California Boulevard, M/C 201-85, Pasadena 91125, CALIFORNIA, USA.  (See Domain CALTECH.EDU.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said Designated Agent at Defendant California Institute of Technology supra, is attached as Exhibit J‑8.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant C I Host, 1851 Central Drive, #110, Bedford 76021, TEXAS, USA.  (See Domain CIHOST.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant C I Host supra, is attached as Exhibit J‑9.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Desert Video Production, P.O. Box 6426, Yuma 85366, ARIZONA, USA.  (See Domain CINECAM.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Desert Video Production supra, is attached as Exhibit J‑10.

     On May 31, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Clairvoyance Corporation, a consolidated subsidiary of Defendant Justsystem Corporation at 5301 Fifth Avenue, Pittsburgh 15232, PENNSYLVANIA, USA.  (See Domain CLAIRVOYANCECORP.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at a consolidated subsidiary of Defendant Justsystem Corporation supra, is attached as Exhibit J‑11.

     On May 31, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to Ms. Lisa Stewart at Clairvoyance Corporation, a consolidated subsidiary of Defendant Justsystem Corporation at 5301 Fifth Avenue, Pittsburgh 15232, PENNSYLVANIA, USA.  (See Domain CLAIRVOYANCECORP.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to Ms. Lisa Stewart at a consolidated subsidiary of Defendant Justsystem Corporation supra, is attached as Exhibit J‑12.

     On April 23, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the Designated Agent at Defendant Carnegie Mellon University, Computing Services, Cyert 102, 5000 Forbes Avenue, Pittsburgh 15213, PENNSYLVANIA, USA.  (See Domain CMU.EDU.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said Designated Agent at Defendant Carnegie Mellon University supra, is attached as Exhibit J‑13.

     On April 23, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the Designated Agent at Defendant Cornell University, 308 Day Hall, Ithaca 14853‑2801, NEW YORK STATE, USA.  (See Domain CORNELL.EDU.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said Designated Agent at Defendant Cornell University supra, is attached as Exhibit J‑14.

     On May 29, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant COWZ Technologies, 516 E. Second Street, F-12 (apt rear), South Boston 02167, MASSACHUSETTS, USA.  (See Domain COW.NET.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant COWZ Technologies supra, is attached as Exhibit J‑15.

     On April 19, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Cyborganic Media, 2261 Market Street, Suite 100, San Francisco 94114, CALIFORNIA, USA.  (See Domain CYBORGANIC.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Cyborganic Media supra, is attached as Exhibit J‑16.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the Designated Agent at Defendant Earthlink Network, Inc., 3100 New York Drive, Pasadena 91107, CALIFORNIA, USA.  (See Domain EARTHLINK.NET.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said Designated Agent at Defendant Earthlink Network, Inc. supra, is attached as Exhibit J‑17.

     On April 19, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to Defendant Frank Ch. Eigler dba Defendant Elastic BBS, 114 Hiltz Avenue, Toronto, Ontario M4L 2N5, CANADA.  (See Domain ELASTIC.ORG.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to Defendant Frank Ch. Eigler dba Defendant Elastic BBS supra, is attached as Exhibit J‑18.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to Defendant Frank Ch. Eigler dba Defendant Elastic BBS, 114 Hiltz Avenue, Toronto, Ontario M4L 2N5, CANADA.  (See Domain ELASTIC.ORG.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to Defendant Frank Ch. Eigler dba Defendant Elastic BBS supra, is attached as Exhibit J‑19.

     On May 21, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Mail.com, Inc., 11 Broadway, Suite 660, New York City 10004, NEW YORK STATE, USA.  (See Domain EMAIL.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Mail.com, Inc. supra, is attached as Exhibit J‑20.

     On May 21, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Mail.com, Inc., 388 Thornall Street, 6th Floor, Edison 08837, NEW JERSEY, USA.  (See Domain EMAIL.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Mail.com, Inc. supra, is attached as Exhibit J‑21.

     On April 23, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the Office of the President at Defendant Swiss Federal Institute of Technology, Lausanne CH-1015, SWITZERLAND.  (See Domain EPFL.CH.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said Office of the President at Defendant Swiss Federal Institute of Technology supra, is attached as Exhibit J‑22.

     On April 23, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the Designated Agent at Defendant Embry‑Riddle Aeronautical University, 600 South Clyde Morris Boulevard, Daytona Beach 32114, FLORIDA, USA.  (See Domain ERAU.EDU.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said Designated Agent at Defendant Embry‑Riddle Aeronautical University supra, is attached as Exhibit J‑23.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to Defendant Mitchell A. Goodkin, Intellectual Property Counsel and Sr. Technology Licensing Specialist at Defendant University of Michigan, Office of the Vice President and General Counsel, Ann Arbor 48109, MICHIGAN, USA.  (See Domain ETEXT.ORG.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to Defendant Mitchell A. Goodkin at Defendant University of Michigan supra, is attached as Exhibit J‑24.

     On May 8, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the Designated Agent at Defendant University of Michigan, 5080 Fleming Administration Building, 503 Thompson Street, Ann Arbor 48109‑1340, MICHIGAN, USA.  (See Domain ETEXT.ORG.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said Designated Agent at Defendant University of Michigan supra, is attached as Exhibit J‑25.

     On May 8, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to Defendant Paul Southworth at Defendant The ETEXT Archives, 703 Felch Street, Ann Arbor 48103, MICHIGAN, USA.  (See Domain ETEXT.ORG.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to Defendant Paul Southworth at Defendant The ETEXT Archives supra, is attached as Exhibit J‑26.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Image’FX Productions, Inc., 10 Fiske Place, Suite 233, Mount Vernon 10550, NEW YORK STATE, USA.  (See Domain EXECNET.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Image’FX Productions, Inc. supra, is attached as Exhibit J‑27.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant EZ2 Network, Inc., 41811 Ivy Street, Suite “B”, Murietta 92562, CALIFORNIA, USA.  (See Domain EZ2NET.NET.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant EZ2 Network, Inc. supra, is attached as Exhibit J‑28.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Cybergate, Inc. dba Channel 1 Communications, 1030 Massachusetts Avenue, Cambridge 02138, MASSACHUSETTS, USA.  (See Domain FILELIBRARY.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Cybergate, Inc. supra, is attached as Exhibit J‑29.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the Designated Agent at Defendant Cybergate, Inc., 12975 Worldgate Drive, Herndon 20170, VIRGINIA, USA.  (See Domain FILELIBRARY.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said Designated Agent at Defendant Cybergate, Inc. supra, is attached as Exhibit J‑30.

     On April 23, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to Dr. Celine Alvey, Associate Vice President for Information Services at Defendant Florida Institute of Technology, 150 West University Boulevard, Melbourne 32901, FLORIDA, USA.  (See Domain FIT.EDU.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to Dr. Celine Alvey at Defendant Florida Institute of Technology supra, is attached as Exhibit J‑31.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Hacked Archives [sic], P.O. Box 911, Abbingdon 24212, VIRGINIA, USA.  (See Domain HACKEDARCHIVES.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Hacked Archives supra, is attached as Exhibit J‑32.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Telecode, P.O. Box 6426, Yuma 85366‑6426, ARIZONA, USA.  (See Domain HACKERSCATALOG.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Telecode supra, is attached as Exhibit J‑33.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to Johnathan Sanders dba Defendant Internet Domain INCORPTEK.COM, 625 – 31st Avenue North, Suite M‑125, Columbus 39705‑1858, MISSISSIPPI, USA.  (See Domain INCORPTEK.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to Johnathan Sanders at Defendant Internet Domain INCORPTEK.COM supra, is attached as Exhibit J‑34.

     On April 23, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the Designated Agent at Defendant Indiana University, 2711 East 10th Street, Bloomington 47408, INDIANA, USA.  (See Domain INDIANA.EDU.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said Designated Agent at Defendant Indiana University supra, is attached as Exhibit J‑35.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant InfoMagic, Inc., 11950 North Highway 89, Flagstaff 86004, ARIZONA, USA.  (See Domain INFOMAGIC.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant InfoMagic, Inc. supra, is attached as Exhibit J‑36.

     On April 19, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant INTAC Access Corporation, 256 Broad Avenue, Palisades Park 07650, NEW JERSEY, USA.  (See Domain INTAC.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant INTAC Access Corporation supra, is attached as Exhibit J‑37.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Internet Online Services, 294 State Street, Hackensack 07601, NEW JERSEY, USA.  (See Domain IOS.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Internet Online Services supra, is attached as Exhibit J‑38.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Justsystem Pittsburgh Research Center, a consolidated subsidiary of Defendant Justsystem Corporation, 5301 – 5th Avenue, Pittsburgh 15232‑2124, PENNSYLVANIA, USA.  (See Domain JPRC.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Justsystem Pittsburgh Research Center supra, is attached as Exhibit J‑39.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Burntfork Rural Systems, P.O. Box 2933, Burntfork 82938, WYOMING, USA.  (See Domain KINGDOMOFZION.ORG.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Burntfork Rural Systems supra, is attached as Exhibit J‑40.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant L0pht Heavy Industries, P.O. Box 990857, Boston 02199, MASSACHUSETTS, USA.  (See Domain L0PHT.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant L0pht Heavy Industries supra, is attached as Exhibit J‑41.

     On April 19, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Levity, P.O. Box 1013, Cooper Station, New York City 10276‑1013, NEW YORK STATE, USA.  (See Domain LEVITY.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Levity supra, is attached as Exhibit J‑42.

     On April 23, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Levity, P.O. Box 1013, Cooper Station, New York City 10276‑1013, NEW YORK STATE, USA.  (See Domain LEVITY.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Levity supra, is attached as Exhibit J‑43.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Levity, P.O. Box 1013, Cooper Station, New York City 10276‑1013, NEW YORK STATE, USA.  (See Domain LEVITY.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Levity supra, is attached as Exhibit J‑44.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Club Madness [sic], 11 Stanford Road, Unionville, Ontario L3R 6L8, CANADA.  (See Domain MADNESS.ORG.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Club Madness supra, is attached as Exhibit J‑45.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Maui Global Communications, 590 Lipoa Parkway, #266, Kihei 96753, HAWAII, USA.  (See Domain MAUI.NET.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Maui Global Communications supra, is attached as Exhibit J‑46.

     On April 19, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant TEK Interactive Group, Inc., P.O. Box 8368, Fort Wayne 46808, INDIANA, USA.  (See Domain MIXI.NET.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant TEK Interactive Group, Inc. supra, is attached as Exhibit J‑47.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant TEK Interactive Group, Inc., P.O. Box 8368, Fort Wayne 46808, INDIANA, USA.  (See Domain MIXI.NET.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant TEK Interactive Group, Inc. supra, is attached as Exhibit J‑48.

     On May 7, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the CEO at Defendant Msen, Inc., 1899 East Wattle Road, Troy 48098, MICHIGAN, USA.  (See Domain MSEN.COM.)

     A true and correct copy of said DEMAND FOR SUBSCRIBER IDENTITY, as mailed to said CEO at Defendant Msen, Inc. supra, is attached as Exhibit J‑49.

     On April 23, 2001 A.D., Plaintiff wrote and mailed a DEMAND FOR SUBSCRIBER IDENTITY via first class U.S. Mail to the Designated Agent at Defendant Miami University of Ohio, 340 Gaskill Hall, Oxford 45056, OHIO, USA.  (See Domain MUOHIO.EDU.)