/Users/cyrusfarivar/Desktop/kleargear.txt Saved: 5/19/14, 9:28:29 PM Page 1 of 2 Printed For: Cyrus Farivar 4 From: Vic Mathieu vic.mathieu@kleargear.com ! Subject: Kleargear.com Public Statement! Date: May 19, 2014 at 12:38 PM ! To: duboisl@dboutiques.fr! 5 ! 6 … Gentlemen:! The text that follows is the first and only public statement that Kleargear.com is going to do about the case of Palmer vs. Kleargear.com.! 8 ! 9 With the exception of minority equity positions held by certain creditors during our restructuring of the company between 2006 and 2011, Descoteaux Boutiques (DBS) has fully owned and operated the Kleargear.com business (the domain name is leased) since the founding cataloger ceased its operations in 2004. Our only presence in the United States and Canada has been via a network of third-party contractors, as DBS outsources several key business functions of our businesses on foreign markets including order fulfillment, warehouse operations, customer service, marketing, legal, payment processing and collections. Any mail that is sent to Kleargear in care of any third-party vendor, including our fulfillment centers operated by Amazon Services and Chenal Brands, will be refused. None of our third party providers are statutory agents that are authorized to receive service of process.! 1 2 3 7 … … … … … … … … … … … … 10 ! 11 After we first learned on this dispute on the 22/04/14 via an e-mail from Aubrey Broome at Hoole & King, we have requested more information. No information has ever been provided. Mr. Palmer's attorney, Scott Michelman of Public Citizen Litigation Group, has since learned that DBS was never properly served under the Hague Convention and concealed this information critical of the court to improperly obtain a judgment by default. Once DBS has been served, we will vacate the judgment and litigate.! … … … … … … 12 ! 13 In written communication to Mr. Palmer on 4 June 2012, we informed him that the disparagement clause in our conditions of sale was present the 22 December 2008 when he has certified to us that he has read, understood and agreed to it:! … … … 14 ! 15 "The structure of our sales contract, referenced in your order check-out screens which we have on file from December 22, 2008, had three forks (today there are two): http://www.kleargear.com/help.html, http://www.kleargear.com/termsofuse.html and http://www.kleargear.com/tsaddendums.html."! … … … … 16 ! 17 Kleargear's Non-Disparagement Clause has never deleted from our online store in November last year, as it has been wrongly stated; it was simply relocated with other content on the new URLs (the aforementioned clause … … /Users/cyrusfarivar/Desktop/kleargear.txt Saved: 5/19/14, 9:28:29 PM Page 2 of 2 Printed For: Cyrus Farivar can now be found at http://www.kleargear.com/termsofuse1.html). If a customer disagrees with any merchant of policies they are free to shop elsewhere.! 17… … … 18 ! 19 John Palmer's delinquent account was written off in October 2013 and, as part of a annual batch, which has been sold to a collection firm which is not linked to Fidelity Information Corp. DBS then instructed Fidelity to delete all accounts transferred from credit reporting agencies. It seems that Fidelity may have, by error, unable to delete one or more accounts until March 2014. If Mr. Palmer's debt remains unpaid, it will be re-reported to credit bureaus by subsequent owners of the account.! … … … … … … 20 ! 21 Ironically, if Mr. Palmer had simply approach Kleargear first last fall and requested a stay to finance their new furnace -- we would have worked with him. We are human beings. Instead, he has chosen a public forum.! … … 22 ! 23 25 Regards,! Vic Mathieu ! Kleargear.com! 26 ! 27 30 Descoteaux Boutiques SARL! 118-122 Avenue de France 75013 ! Paris! France! 31 ! 32 Phone: +33 (0) 1 82 88 88 18 ! Facsimile: +33 (0) 1 70 61 59 06 24 28 29 33