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James D. Hardin 16199 Green Valley Ranch Blvd. #4412 Denver, Colorado U.S.A. [NEW STATES POSTAL CODE: 80239) July 11, 2017 TO: SAMSON LONE STAR, LLC (Samson) - File #3712337536; by and through their Registered Agent (THE CORPORATION COMPANY) who may be served at: 1833 S MORGAN RD OKLAHOMA CITY, OK 73128 ATTN: Registered Agent (THE CORPORATION COMPANY) INRE: NOTICE OF INTENT TO SUE SAMSON LONE STAR, LLC (Samson) Dear Registered Agent, Pursuant to attached letter from the U.S. Department of the Army, naming SAMSON LONE. STAR, LLC (Samson), you are hereby given notice that the Hardin Family; ex rel, James D. Hardin intends to commence a lawsuit against you for [S EIGHT MILLION, ONE HUNDRED FIFTY THOUSAND ($8,150,000.00)} due to [PROPERTY DAMAGES/LOSSES, GREAT BODILY INJURY, GREAT BODILY DISFIGUREMENT, AND WRONGFUL DEATH; MENTAL AND PHYSICAL PAIN AND SUFFERING; ET AL; RESULTING FROM A ‘NUCLEAR CHARGE WHICH SAMSON CAUSED TO BE REMOTLEY DETINATED IN AUGUST 2012]. We will file suit against you if you do not (Cease and Desist the fraudulent obstructions to Hardin(s) claims by one, Mark M. Lauer and PAY AMOUNT OF DAMAGES. stated above within 60 days after receiving this letter. Please contact me as soon as possible at 303.359.9679 to resolve this matter. ‘The foregoing is not intended to be a complete recitation of all applicable law and/or facts, and shall not be deemed to constitute a waiver or relinquishment of any of Hardin(s) rights or remedies, whether legal or equitable, all of which are hereby expressly reserved, including Hardin(s) right to all available remedies against SAMSON LONE STAR, LLC (Samson) and including but not limited to the recovery of costs and attorneys” fees. And... Further NOTICE is hereby given regarding the below named: Mark M. Lauer Vice President & General Counsel Samson Energy Company, LLC 110 W. 7th Street; Suite 2000 Tulsa, Oklahoma 74119 918.879.9612 mlauer@samsonco.com and Hardin hereby serves other and further NOTICE of Mark M. Lauer’s Corporate Veil is hereby Pierced with regards to these proceedings, to wit: Piercing the corporate veil. Judicial process whereby court will disregard usual immunity of corporate of officers or entities from liability for wrongful corporate activities; e.g. when incorporation exists for sole purpose of perpetrating fraud. The doctrine which holds that the corporate structure with its attendant limited liability of stockholders may be disregarded and personal liability imposed on stockholders, of officers and directors in the case of fraud or other wrongful acts done in name of corporation. The court, however, may look beyond the corporate form only for the defeat of fraud or wrong or the remedying of injustice.” (See: Hanson v. Bradley, 298 Mass. 371, 381, 10 N.B.2d 259, 264. Sce also: Instrumentality rule). For the purposes of Mr. Mark M. Lauer’s bad faith, unethical and fraudulent acts and attempts to block, prevent, obstruct, or otherwise to estop the Hardin family claims, request for; SAMSON LONE STAR, LLC (Samson) and Samson Exploration, LLC, (Samson) General Liability Insurance Policy Numbers; Policy Contact Information, Policy Limits, including all other policies held by Samson, such as Errors and Omissions, etc., or the like, which Mr. Mark M. Lauer’s obstructed May 29, 2013; and again July 5, 2017 (See Attached Email); whereby attempting to obstruct the mandatory filing of a claim upon notice or at time of coming to the knowledge of same; and while under legal obligation to report the same to policy Providers is nothing short of “INSURANCE FRAUD” and is violative of both, Texas and Federal Law; and Hardin herein serves NOTICE of the said Texas Law regarding these matters, as evidenced on the following page, to wit: TEXAS Insurer's Duty to Settle: In Texas, the duty of an insurer to accept reasonable settlement demands is known as the Stowers duty. The Stowers duty is the only common law tort duty that an insurer owes its insured when handling a third-party claim. The elements of a cause of action against an insurer for breaching its Stowers duty are the following: 1. A claim against the insured in the scope of coverage; 2. The demand is within policy limits; 3. The terms of the demand are such that an ordinarily prudent insurer would accept it, considering the likelihood and degree of the insured's potential exposure to an excess judgment. See Texas Farmers Ins. Co. v. Soriano, 881 $.W.2d 312, 314 (Tex. 1994); G.4. Stowers Furniture Co. v. American Indemn. Co. 15 8.W. 24 544, 547 (Tex. Comm'n App. 1929, holding approved). The Stowers duty applies only to third-party claims, it does not apply to first-party claims. American Physicians Ins. Exch. v. Garcia, 876 8.W.24 842, 847 n.10 (Tex. 1994). Under Texas' unfair settlement practices act (Tex. Ins. Code Chpt. $42), the failure of an insurer to attempt in good faith to effectuate a prompt fair and equitable settlement of a claim “with respect to which the insurer's liability has become increasingly clear, the insurer's statutory duty is triggered to reasonably attempt settlement where 1) the policy covers the claim; and 2) the insurer's liability to the third party is reasonably clear.” Rocor Intl, Inc. v. National Union Fire Ins. Co. of Pittsburgh, PA, 77 S.W. 34253, 261 (Tex. 2002). ‘Third Party Actions: In Maryland Ins. Co. v. Head Indus. Coatings & Servs., 938 S.W.24 27, 28- 29 (Tex. 1996)(per curiam), the Texas Supreme Court held that “Texas law recognizes only one ‘ort duty in [third- party insurance cases}, that being the duty stated in [G.A] Stowers Furniture Co. v. American Indemnity Co., 15 S.W.24 544 (Tex. Comm’n App. 1929, holding approved).” against an insurer through an ion of A third party can gain standing to bring an extra-contractual clai assignment of rights from the policyholder. The assignment must be made after an adjudi plaintiff's claim against the defendant in a fully adversarial trial. State Farm Fire & Cas, Ce Gandy, 925 S.W.2d 696, 714 (Tex. 1996) Multiple Claims: In Texas Farmers Ins. Co. v. Soriano, 881 S.W.2d 312, 315 (Tex. 1994), the ‘Texas Supreme Court held that when faced with a settlement demand arising out of multiple claims and inadequate proceeds, an insurer may enter into a reasonable settlement with one of the several claimants even though such settlement exhausts or diminishes the proceeds available to satisfy other claims. See also Pride Transportation v. Continental Casualty Co., 511 Fed.Appx. 347, 2013 WL 586791 (Sth Cir. (Tex.) 2013). Excess v. Primary: An excess carrier may bring an equitable subrogation claim against the primary carrier. Am. Centennial Ins. Co. v. Canal Ins. Co., 843 $.W.2d 480, 483 (Tex. 1992). And... ‘The Registered Agent of SAMSON LONE STAR, LLC (Samson) and SAMSON EXPLORATION, LLC, a “Public Company”, is a follows: SAMSON LONE STAR, LLC Details Filing Number: 3712337536 Name Type: Legal Name Status: ‘Active Corp type: Foreign Limited Liability Company urisciction: DELAWARE, USA Formation Date: 1 Dee 2011, Registered Agent Information Name: ‘THE CORPORATION COMPANY effective: 1 Dee 2011 adress: 1833 $ MORGAN RD. City, State , Zipcode: OKLAHOMA CITY OK 73128 And... SAMSON EXPLORATION, LLC Details Filing Number: a712148044 Name Type: Legal Name status: Active Corp type: Foreign Limited Liabilty Company Jurisdiction: TEXAS, USA Formation Date: 2 Aug 2007 Registered Agent Information ‘THE CORPORATION COMPANY effective 2 Aug 2007 Address: 1833 § MORGAN RD City, State , ZipCode: OKLAHOMA CITY OK 73128 Separation page James D. Hardin 16199 Green Valley Ranch Blvd. #4412 Denver, Colorado U.S.A. [NEW STATES POSTAL CODE: 80239] July 11, 2017 TO: ‘Samson Exploration LLC (Samson); by and through their Registered Agent (THE CORPORATION COMPANY) ‘who may be served at: 1833 S MORGAN RD OKLAHOMA CITY, OK 73128 ATTN: Registered Agent (THE CORPORATION COMPANY) NOTICE OF INTENT TO SUE SAMSON EXPLORATION, LLC Dear Registered Agent, Pursuant to attached letter from the U.S. Department of the Army, naming Samson, you are hereby given notice that the Hardin Family; ex rel, James D. Hardin intends to commence a lawsuit against you for [5 EIGHT MILLION, ONE HUNDRED FIFTY THOUSAND ($8,150,000.00)] due to [PROPERTY DAMAGES/LOSSES, GREAT BODILY INJURY, GREAT BODILY DISFIGUREMENT, AND WRONGFUL DEATH; MENTAL AND PHYSICAL PAIN AND SUFFERING; ET AL; RESULTING FROM A NUCLEAR CHARGE WHICH SAMASON CAUSED TO BE REMOTLEY DETINATED IN AUGUST 2012]. We will file suit against you if you do not (Cease and Desist the fraudulent obstructions to Hardin(s) claims by one, Mark M. Lauer and PAY AMOUNT OF DAMAGES stated above within 60 days after receiving this letter. Please contact me as soon as possible at 303.359.9679 to resolve this matter. The foregoing is not intended to be a complete recitation of all applicable law and/or facts, and shall not be deemed to constitute a waiver or relinquishment of any of Hardin(s) rights or remedies, whether legal or equitable, all of which are hereby expressly reserved, including Hardin(s) right to all available remedies against SAMSON EXPLORATION, LLC and including but not limited to the recovery of costs and attorneys’ fees. Sinceyely, And... Further NOTICE is hereby given regarding the below named: Mark M. Lauer Vice President & General Counsel Samson Energy Company, LLC 110 W. 7th Street; Suite 2000 Tulsa, Oklahoma 74119 918.879.9612 mlauer@samsonco.com and Hardin hereby serves other and further NOTICE of Mark M. Lauer’s Corporate Veil is hereby Pierced with regards to these proceedings, to wit: “Piercing the corporate veil. Judicial process whereby court will disregard usual immunity of corporate of officers or entities from liability for wrongful corporate activities; e.g. when incorporation exists for sole purpose of perpetrating fraud. The doctrine which holds that the corporate structure with its attendant limited liability of stockholders may be disregarded and personal liability imposed on stockholders, of officers and directors in the case of fraud or other wrongful acts done in name of corporation. The court, however, may look beyond the corporate form only for the defeat of fraud or wrong or the remedying of injustice.” (See: Hanson v. Bradley, 298 Mass. 371, 381, 10 N.E.2d 259, 264. See also: Instrumentality rule). And... For the purposes of Mr. Mark M. Lauer’s bad faith, unethical and fraudulent acts and attempts to block, prevent, obstruct, or otherwise to estop the Hardin family claims, request for Samson Exploration, LLC, (Samson) General Liability Insurance Policy Numbers; Policy Contact Information, Policy Limits, including all other policies held by Samson, such as Errors and Omissions, ete., or the like, which Mr. Mark M. Lauer's obstructed May 29, 2013; and again July 5, 2017 (See Attached Email); whereby attempting to obstruct the mandatory filing of a claim upon notice or at time of coming to the knowledge of same; and while under legal obligation to report the same to policy Providers is nothing short of “INSURANCE FRAUD” and is violative of both, Texas and Federal Law; and Hardin herein serves NOTICE of the said Texas Law regarding these matters, as evidenced on the following page, to wit: TEXAS Insurer's Duty to Settle: In Texas, the duty of an insurer to accept reasonable settlement demands is known as the Stowers duty. The Stowers duty is the only common law tort duty that an insurer ‘owes its insured when handling a third-party claim. The elements of a cause of action against an insurer for breaching its Stowers duty are the following: 1A claim against the insured is within the scope of coverage; 2. The demand is within policy limits; 3. The terms of the demand are such that an ordinarily prudent insurer would accept it, considering the likelihood and degree of the insured’s potential exposure to an excess judgment. ‘See Texas Farmers Ins. Co. v. Soriano, 881 8.W.2d 312, 314 (Tex. 1994); G.A. Stowers Furniture Co. v. American Indemn. Co. 15 8.W. 24 544, 547 (Tex. Comm'n App. 1929, holding approved). The Stowers duty applies only to third-party claims, it does not apply to first-party claims. American Physicians Ins. Exch. v. Garcia, 876 S.W.2d 842, 847 n.10 (Tex. 1994). Under Texas’ unfair settlement practices act (Tex. Ins. Code Chpt. 542), the failure of an insurer to attempt in good faith to effectuate a prompt fair and equitable settlement of a claim “with respect to which the insurer's liability has become increasingly clear, the insurer's statutory duty is triggered to reasonably attempt settlement where 1) the policy covers the claim; and 2) the insurer's liability to the third party is reasonably clear.” Rocor Int'l, Inc. v. National Union Fire Ins, Co. of Pittsburgh, PA, 77 S.W. 34253, 261 (Tex. 2002). ‘Third Party Actions: In Maryland Ins. Co. v. Head Indus. Coatings & Servs,, 938 S.W.24 27, 28- 29 (Tex. 1996)(per curiam), the Texas Supreme Court held that “Texas law recognizes only one tort duty in [third- party insurance cases}, that being the duty stated in (G.A] Stowers Furniture Co. v. American Indemnity Co., 15 S.W.24 544 (Tex. Comm'n App. 1929, holding approved).” A third party can gain standing to bring an extra-contractual claim against an insurer through an assignment of rights from the policyholder. The assignment must be made after an adjudication of plaintiff's claim against the defendant in a fully adversarial trial. State Farm Fire & Cas. Co. v. Gandy, 925 S.W.2d 696, 714 (Tex. 1996). Multiple Claims: In Texas Farmers Ins. Co. v. Soriano, 881 S.W.2d 312, 315 (Tex. 1994), the ‘Texas Supreme Court held that when faced with a settlement demand arising out of multiple claims and inadequate proceeds, an insurer may enter into a reasonable settlement with one of the several claimants even though such settlement exhausts or diminishes the proceeds available to satisfy other claims. See also Pride Transportation v. Continental Casualty Co., S11 Fed.Appx. 347, 2013 WL 586791 (Sth Cir. (Tex.) 2013). Excess y. Primary: An excess carrier may bring an equitable subrogation claim against the primary carrier. Am. Centennial Ins. Co. v. Canal Ins, Co., 843 8.W.26 480, 483 (Tex. 1992). And. ‘The Registered Agent of SAMSON EXPLORATION, LLC, a “Public Company”, is a follows: SAMSON EXPLORATION, LLC peta Faling Number: 712149944 Name Type: Legal Name Status! active Corp type: Foreign Limited abitty Company Surisdetion TEXAS, USA Formation Date: 2 Aug 2007 Resistered Agent Information Name ‘THE CORPORATION COMPANY effective 2 Aug 2007 Adsress: 1833 S MORGAN RD City, State , ZipCode: OKLAHOMA CITY OK 73128 Separation page ATTACHMENTS: A. Letter from United States Department of the Army , dated June 13, 2017 B. Chemicals found in Hardin Family Clothes (Microbac Flame Ionization Report) C. Letter from Mark (2013) D. Copy of SF95 Submission to U.S.A.C.E. E, THE EVIDENCE, MEDICAL REPORTS, DIAGNOSIS, PICTURES, ETC., are too numerous to be listed here, however, the same will be made available to Policy Provider and their legal counsel. Separation page DEPARTMENT OF THE ARMY UNITED STATES ARMY CLAIMS SERVICE OFFICE OF THE JUDGE ADVOCATE GENERAL 4411 LLEWELLYN AVENUE, SUITE 5360 FORT GEORGE G. MEADE, MARYLAND 20765-5125 JUN 13 2017 CERTIFIED MAIL - RETURN RECEIPT REQUESTED Tort Claims Division 17-N36-T001 James D. Hardin c/o 16199 Green Valley Ranch Blvd #4412 Denver, Colorado 80239 Dear Mr. Hardin: This notice constitutes final administrative action on your claim filed against the United States under the Federal Tort Claims Act (FTCA), Title 28, U.S. Code Sections 1346(b) and 2671-2680, in the amount of $8,150,000. The claim arises out of seismic testing conducted by Samson, Lone Star, LLC (Samson), a privately-held oil and gas company, in August 2012. The Army Corps of Engineers, Galveston District, issued ‘Samson a permit to conduct seismic testing near your rental home on Bolivar Peninsula, Texas, in December 2011. You allege that the seismic testing has caused you and your family personal injuries, property damage, and the miscarriage of your unborn child. The claim was received at the Galveston District Corps of Engineers Office on April 4, 2017. I must inform you that your claim is denied. We have reviewed your claim and have determined it is not compensable under the FTCA. Ifyou are dissatisfied with the denial of your claim, you may file suit in an appropriate United States District Court no later than six months from the date of mailing of this letter. See 28 C.F.R. § 14.9(a). By law, failure to comply with that time limit forever bars your claim. See 28 U.S.C. § 2401(b). This notice of final denial should not be construed as a concession by the United States that the claimant has complied with the applicable requirements of 28 U.S.C. § 2675(a) or 28 C.F.R. Part 14, nor should this be construed as a waiver by the United States of any of its defenses. regarding the claim. Sincerely, De ©. David O. Anglin Lieutenant Colonel, U.S. Army Chief, Tort Claims Division e202 ope10}09 sonueg ) 1] Zl eb# PAG youRY ABI UB@I5, 66191 0D urpue}y aseuey ay) Be] #¢h OSbO tooo otet Etoe TOMI ene iy 0° ao uo Re XY SSANISNE TidIsI0 St1S-98202 GW 34VaM “© 39403 LuO4 O88 31S ANNAAV NATIAMETI biby 3O1AMRS SWIV1O AWUY 'S'7. AWYY 3H 4O LNAWL¥E3G Separation page MICROBAC LABORATORIES, INC. New Yerk Division Report Date: 01/04/13 Lab Log Number:1241789 CERTIFICATE OF RESULTS Client: James D. Hardin 4271 Bethel Road Houston, TX 77092 Site Castle Drive, Crystal Beach Sample Date: Received form client 12/17/12 Sample: Miscellaneous Clothing Method Modified 8260/5030 TENTATIVELY IDENTIFIED COMPO! Compounds detected were: Phenol, phenoxy 2-Propanone unknown Hexanal I-Hexanol, 2-ethyl- Nonanal Unknown Hydrocarbon 1,2-Benzenedicarboxy ‘This analysis is certified as conforming to generally accepted laboratory practices and requirements of the New York State Health Department ELAP program. ee Peter Indick Managing Director NYS ELAP CERT 10795 B 3821 Buck Drive, Cortiand, New York 13045 Phone. (607) 753-3403. Fax: (607) 753-2415 NYELAP #10705 © PADEP #6801385 m= wuwmicrobec.com Cortland NY 13045 Phone: (607)753-3403 Fax:(607)753-3415, NY #10795, EPA #NYO0935 Microbac Laboratories, Inc. CHAIN OF CUSTODY Samples must be retumed on ice See eee MNY Workorder (Eee femraton Tigi — ‘rai Roqueied Reconing iio (ab Use Gay Ware i [ke YES No Jaasiess: 77 8 [cooker YES NO. a [sompletere | ont Keds ac [eee _res vo Phone: B32 ~ AS ae ae 3 a Project. e 1S Pius: YES WO te: Pom d lero ew Ruan TAY Gus Daye <@ 28 57 740 Onto Rear IS Sf Jcabon copy: Yes. ecwpied? _YES_WO ematresuns: vee [OM clun be (BO along, Coan ala Contin Meter FaxResutts: Yes Container Size(in tp Sample Information Matrix, |Preservative, Description ocation Date Time [initial Type ‘Number of Containers for Analysis Requested Comments/Field Data Moc Nene Sedted,_ eszirzL AOA AE ad Si co aan Rp Miiphit Bape labs ash 4 Foor Corte vee, Coppel beach Separation page May 29, 2013 ‘Via U.S. Mail Mr. James D. Hardin Mr. James D. Hardin 4271 Bethel Road 13121 Lovetta Rd. #920 Houston, Texas 77092 Cypress, Texas 77429 Dear Mr. Hardin, Your numerous emails to Samson alleging health issues caused by our seismic operations have been forwarded to me for response. Your allegations have been reviewed by professional engineers, landmen, and a lawyer. Following such review, your allegations have been found to be wholly unsubstantiated. I want to be Cleat with you as tothe following specific points: * Do not altempr to contact Samson again regarding this matter. We will not respond to you. ‘+ Your claims are denied because you have not provided any information showing that Samson’s operatic ‘caused the health issues allegedly affecting your fa . should consult with ap attorn choosin, Ameridian or 1 ‘would be glad to discuss this matter with your attorney. Do not send Samson or Ameridian any additional information related to the health issues allegedly affecting your family. Feel free to provide to Ameridian any information you may have showing that Samson's seismic operations in any way caused the health issues allegedly affecting your family. As it Closing matter, your communications have included several very derogatory statements about Samson, many of which are outright defamatory. 1 take serious exception (0 those statements. Samson is a very ‘sponsible corporate citizen and conducts its operations in a very prudent and ethical manner. Please rel from making any additional derogatory or defamatory comments about Samson. More specifically, Samson demands that you not make any defamatory comments about Samson to third parties. Sincerely, SAMSON EXPLORATION, LLC tr) WAirn ‘Mark M. Director, Fegal [nt a a SSamson: =: 0 Se NER feWearh ota Suite 2000 Tulsa, Oklahoma 74119-1076 ADDRESS SERVICE REQUESTED Mr. James D. Hardin 4271 Bethel Road Houston, Texas 77092 DAQJSsB 77092 th Separation page 8. BASIS OF CLAIM 4-4-2017: 1am James Darwin Hardin, born in Houston, Texas on the above stated date and I am this day of sound mind and able to understand what has happened to my family and myself; Wherefore, I call upon ALMIGHTY GOD to witness my testimony herein and the attached evidence included herewith in a 64GB USB Flash Drive and other papers included herewith, and attached hereto; all of which, I, James Darwin Hardin do hereby Promise and Swear that my testimony is true and correct, to the best of my knowledge and memory, so help me God... My family was residing at 3185 Castle Drive at Crystal Beach on the Bolivar Peninsula, Texas. (See: attached pictures, et al) On or about August 2012 my family experienced our entire house vibrating and a humming sound which got louder and louder and the vibrating turned to shacking which felt as if we were about to launch off the space shuttle Jaunch pad. | was blacking out and experiencing disassociation of my body parts, amnesia, not even able to write an email, or remember what I was doing ot going to do, | experienced massive weight loss and my skin began to look like a dry paper bag (See: Attached fell down stairs hurting myself, etc., my wife and dog would spot blood and we would get blisters and were getting steroid crémes for same from our doctor (James Chepco ~ Now Deceased), not knowing what happened to us, nor that we ‘were experiencing symptoms of not just deadly exposures to carcinogenic patented hydraulic fracturing chemicals, but moreover that our unknown exposures were considered continued and prolonged exposures... There were Tonka Truck looking off road vehicles drilling across the street (Highway 87) from our home (See: attached pictures), then black helicopters delivering what we now know to be nuclear charges (Nuclear Bombs) for underground seismic testing/blasting and seismic wires and seismic devices were all up and down our streets (See: attached pictures) first our dogs puppies died (See: Attached Puppy Necropsy Report) and then my pregnant wife began screaming one day in the shower and when I ran in to check her, there was blood and water filling up in the shower and I look and there is ‘a bloody mass stopping up the drain and I didn’t know what to do and she was screaming and obviously terrified and so | grabbed the mass and | threw it in the tollet so the water and blood could drain. | am still haunted by those images of the little fetus (See: Attached pictures) Then our neighbor's across the street began to recognize the smells around our home and the discoloration of vegetation turning black, then the people next door came to visit their beach house and were freaking ‘out over all the black bugs swarming our house and theirs and called a pest control ‘company out... but most of all, our neighbor's could see | was obviously sick and not my normal self. So they told us we have to evacuate the home because something ‘was poisoning us... (See: attached pictures) So my wife calls her mother out and begins calling the companies and the health department, etc, (See: Attached Recordings) and told them we were sick and to stop what they were doing and to come get their equipment and wires, etc,, away from our home because it was hurting us... nobody, no help, no fire department, no agency reps, etc., ever came... ‘The company we hired to check to see if our sewage system was causing these smells and making us sick??? We thought maybe it was a certain type of h2s gas or something and thatis when we were told, he could not believe we have not blown sky high and that no, this had nothing to do with our sewage system, but rather fracking operations taking place and the owner strongly suggested that we move as fast as possible... my wife was able to make contact with CGG-Veritas and they put us in contact with Samson Exploration who scheduled a meeting with us and when they came out they said they didn't smell anything, and that their tests have shown no airborne contaminates, they didn’t test water, yet our clothes smelled in our closets and in our drawers. Wesley with Samson said he could obviously tell something is wrong with us and that we look sick, but said he didn’t think it was related to what they were doing... So August 12, 2012 we moved in a forced relocation and upon advisement from attorneys contacted The Texas Rail Road Commission, who was also covering it up and telling us there was nothing showing in their test results either, after we had evacuated... Charlie Teague later stating that they (Gases, etc.) would have dissipated by then, etc... yet months after they abandoned us, our clothes could not be cleaned of the toxic odor, nor could we ware them without getting blisters from same. In an attempt to find out what we were hit with I did FOIA Request to USACE, because after contacting them, their confirming times and dates of our complaints, etc, they issued us an SF-95 Form for wrongful death and great bodily harm... only at that time { could not fill it out because f still didn’t know what we were hit with, by whom and we had attorney firms multiple times supposedly representing us..instructing us not to file the SF-95 Form, prior to dropping us... The Galveston Division of USACE basically gave me the finger with regards to my FOIA Request and so | appealed it and the higher ups in Dallas ordered them to release all the information I requested. So Mr. Kelly with USACE [Galveston] contacted me and told me that he can either help me with our SF-95 Form Submission, or answer my FOIA Request and said it was my choice and I said 1 want to file the SF-95, but | also want to know what happened to us and what we ‘were exposed to. | sald | want to know what happened to us, but | want help also.. Mr. Kelly again said well it's your choice do you want help with the SF-95 Form, or do you want to know what happened, you can't have both. That is when I realized that they had done something so horrible to us, that they were trying to conceal what it was, leaving me a choice of knowing, but taking what | learned to our graves, because they were going to knowingly and intentionally leave us, abandon Man, woman and two little girls in the field, whom are knowingly "SICK AND WOUNDED" and refuse us anything but impending and certain death! We cried out to everybody and attorneys who were so confident in the evidence and our case, one, after another, would drop us and tell us we needed a firm with much deeper pockets for my case, while adding that it is not for a lack of evidence. (See Attached exit letters). However, it was once we were evacuated, that is when the illnesses truly kicked in.. Igot lumps in my neck and all my lymph nodes, (See: attached pictures) my wife began bleeding out, (See: attached pictures) and was diagnosed with Chronic ‘Anemia, Ataxia, Syncope, | myself could not remember anything after going to sleep from day-to-day, which I was doing prior to sleeping. I could not remember my children's names, | would get so angry and frustrated because I couldn’t think right. 1 was giving my dying wife injections daily of b12 trying to help her live and she was ‘dwindling away and | could see all her bones in her body and I didn’t look much better, my wife's teeth began to erupt and her enamel would come off her teeth in chunks while eating something as soft as a bagel. ‘Then they had to do emergency surgery on my wife to extract the erupting teeth before one eruption caused her entire face to shatter and killing her instantly. One night | took her to the hospital because she began bleeding out so bad, they put two tablets in her which basically cauterized everything it came into contact with and told me that all | can do is take her home and give her comfort because there was nothing else they could do for her. Every night before I went to sleep I would have to make all these notes and contact numbers, etc, of people and agencies { wanted to contact, because I would not remember any of it when I awoke. I would stay up late every night because | was terrified that | would go to bed only to find my wife there dead. I was mentally and physically ill from toxic exposure and one day as I was crying like a baby to a mad in Pennsylvania, about documents I received through FOIA from Congress ordering USACE to cancel the permits with Global and to reissue them to Samson and move forward on the project and if they contaminate the air under the Clean Air Act, don't report as required move forward, if they contaminate water systems, don't report as required under the Clean Water Act, keep moving forward, and if they kill endangered species, don't report, replace, etc., move forward and I was crying about how we still don’t know what we got hit with and my wife is dying and nobody will even call us back, when he said, James, you said you have poisoned clothes bagged up that you cannot wear and I said yes, and he said he is a number and a contact name for a company who can help you... So I called them and they instructed me how to send the clothes and how they had to be packaged and they did flame ionization testing of the clothes and found Unknown Hydrocarbons, Benzenes, ethyl, Phenol, Propane 1,2, etc. (See: Attached Microbac Lab Test Report) all of which are known to cause the exact same symptoms’ and illnesses we had been crying out about, while left abandoned, dying, our total loss of everything, due to contamination, we were left to save our own lives... By the grace of God the massive blood clots the size of the palm of my hand began to stop and the daily bleeding began to stop, but it took 2-3 years, my youngest had surgeries for her teeth also began erupting and these surgeries are ongoing and continuing today and the tens of thousands of dollars are more than we can bare, the dentist are telling us this will be issues we must contend with for the rest of our lives, and due to the lack of funds we have been estopped from being able to properly diagnose our ilinesses, nor opportunity to treat them and they are ongoing and continuing and I am throwing myself upon the mercy of this reviewing body and I am asking for your mercy... We have suffered enough... indeed it has been more than we can bare and our families cannot continue to financially sustain us and have been damaged and suffered losses of tens of thousand of dollars trying to help feed us, clothe us, house us, help with ‘medical and dental bills, car payments, et al.; and | am requesting that this legal body grant me and my family members, One Million Dollars each for the ongoing and continuing pain, suffering, loss of life and all the mental anguish associated with such said losses, hardships, forced relocations, et al,. I pray this deciding body provide these funds and that they be expedited, to each of us, to help with ongoing ‘and continuing medical expenses and to help restore our family of all we have lost and all we have suffered, physically, mentally, financially and for the forced relocations, human rights violations, crimes against humanity, and other high ‘crimes and misdemeanors in violation of the Hague and Geneva Peace Treaties, and the list of damages, go on and on and on, such as the loss of our family pet Julia 1, eventually died from the exposures too and was bleeding from all her internal organs and when they opened her up she was filled with self erupting tumors filled with white blood cells, which caused sepsis and took her life. (See: ‘Attached Necropsy and pictures). I reserve the right to add to, or amend this claim for Wrongful Death and Great Bodily Harm as necessary, or upon realization of. additional information and evidence comes to my knowledge or memory. There is a whole plethora of evidence, permits, Necropsy’s, diagnoses, test results, complaints, responses, etc,, including, but not limited to Digital FOIA responses, et al. which believe will be more than sufficient to evidence my claims herein, for which I and my family, including our parents and friends, all of whom I am seeking Financial Restitution for the purposes of making us whole again. Respectfully Submitted with kind Regards, By James D. Hardin Cell: 303-359-9679 SEPARATION PAGE 9. NAMES AND ADDRESSES: Allour double bagged clothing are still located at my mother-in-law’s home, located at: 417 Briar Creek Ln. Sealy, Texas 77474; and more double bagged clothes and frozen blood clots from my wife bleeding out are at my father-in-law’s home, located at 4271 Bethel Blvd. Houston, Texas 77092 SEPARATION PAGE ‘¢F/A (POWPD) {0006260 JAMES HARDIN] e221 Enontla tnd 9% MODERN DENTISTRY Senge CONSE (OF wORTHFIELD eicyeoesae a odmenDentistryOtorthfield.com Fanaa BREET aes HARDIN, Sones Bifosyaonr AccePTED/PLANNED nere:01/09/17 coimated Stmaed fina sstinated ensce ‘Sree cach awn er Saal amed, Seomes oes A trae rvonine vane do nm aie ie Si ‘ oerisonaeie eo Se caer ae i Se ea case arto So ae se oe ee i Strona Tru ee ee oe Se I SSramcpeowen orone 2e tS ee H Sian eneacr marae OS 9 ee ee ae Ae : Size pen aareo eee ee : Srp exc once ae ee t Sir marina mayQuno ee te ee eae ; Son swmoxcr marauno praetor pean pee ese i ibe pent at macareo 2 38 ie ee ; Sipe ec occowes <2 fs oe a ee rt fons sara mar ee ee eae oe piles enige 3mm tan mah 2 x1 emaecron 914 a a a ee H GGucoucese noo 2 = as i ee Hi toosa cat ros" WCE = an oS ie ae ae : eee a cy aem. aie ee ee MA BEMULTE ecos cow S eens urea mae Ok > ceo cone mou nS SAG Gas as eee H GMwcmccaucacrot an wae. men Tae i eee 8 Nowe ean 0800 ore) sam eae essa . ee noe oe arse PREP ES. cao. sass etme 5 costo Cec waar 25187 2 mss too ata. sen00 coo a8) . coeasannysis Buve m0 cm nme tral tes coe tae srs) + aoye ren manrewce "seo i a al sseae oe ae mero a7sigo tangn 000 2881.0 CHOICES/ALTERNATIVE —_Entered:04/09/37 mace arn on marca yer, Snatnd tntnaad Satinaed Eatinte ot “Sree Sty “es A ecco atte te ace ls a ; enero = opronins ne tm fs ; tauscroener Se a eer a oe ; Satccemomeerc a ae ee eee FB yn enn stone = ote oe ee Eg fetta mar arrest = rrpearr arTpe e > aye cent chown 81 ” Gee tas pale < rmsocone nou amass 8 sa uk om ee Printed on 01092017 15:51:28 © FIA POIPD) [0006260 JAMES HARDIN] s 2740 ceReC CROWN Ost “ 1300.09 me5.00 = m0000 0.0088. Ie Ouran cORECOWE BLCK POST 1S temo 165.00 «31000073500 BASIC COVEREDBENEFIT _Entered:01/09/47 pee ok ce Estimated Estimated Estimated estimated oy cart “fee “Shrmary Soconaery "Pasent 2 02749 CROWN FORE POST =O) 28 smmm $8000 oo om 240 00 2 09999 8 WON a poo 9800809 3 02740 cnown Fone POST 12x00 $80.00 510.00 0.002400 js 12740 crown ORC POST as impos $80.00 m0. om 240.09 a 09999 8 Fe s 00 950000 0a 50 in may not be, the same as the Estimated Insurance’ ‘my coim, if my patient share was overestimated 0 Storer ‘Sling services are sentiied by 2 pre-defined numeric codes. ‘on the pre-defined momerc codes ot the treatment actualy Printed on 01/0972017 15:81:28 © F/A OVERDENTURE [0006261 BRANDI HARDIN} Printed on 0100-2017 16:22:55 ‘e F/A DENTURES (0006261 BRANDI HARDIN] 2'4 MODERN DENTISTRY ee thas Bye oF nonTHeELD scresrai Sabian pet os Tana reNumibes oo0e302 SSayosraen AcCEPTED/PLANNED entered:01/09/17 oe ce Siinsted Setmated tstmates evimud onace Serie surtece sce “imtry Seconanry "patent A ono contort rats s =e sn ee fom mam 0a ate ae > sis preci nao oexT ian me sie aaa H tstie ruven Denne te wom 80 ‘eso ausnoo mee fanaa sr000 5 crai0. om suns conauat Tse me 700 > tp orc meus soar meen wea S {Sens con anes 95 08 se met sae ; taux cen aust 1 mn asm mon Sooo H ‘ora con anes 33 zs oes tan wa ; Saas oan wes ise moe oa toy : Servet ont am net sano Hl crinsurcucnovenere> 32 Soo ‘was sSa0 am > crosmenmonenmns 3 wom aos i an 3 taocmumoneuree Meco aoe isan zal 3 tauaneoenoisiee i ao ee Ere 3 tussmermoneumns 3 mom zen > cnivemcsov erro 3 Sec toes tame 20 > crusscrsoneures 2 om aoe ise Fre > gauamownoiaieec 37 jose sn 3800 foal wevsee 90800 sanao estoe poonse eessae veseme oa tena] a ee en eee HAVE READ, fly understand and AUTHORIZE the trestment LISTED ABOVE. T AGREE TAM FINANCIAL [RESPONSIBLE ‘FOR ALL TREATMENT STARTED. UNDERSTAND my inronc/man coverape, mung tht my InurancaPian ray nat pay the estimated sou + Php te Fi. sesnonsioue i wo uGURANCE/PLAN DOES NOT PAY these eta for ANY REASON ond sat ths ay increase my expen, solo; bzpucas, wi eange te fes quctd. understand inddvance. a «Ra atte uae Se ciaes oy oO SOIR ny ot beg grea ne suas a edt cam, HY Bh Stet snare « Tungersand that tre oftce's controctea oted above, + ie hot Enerancain gues tht fo -cetines numenc codes. ne codes ot the reatment estan ne ‘Once, my Insurance/Pian Undarastimated, Twi be retunded or charged ingaancelan ray app bene based Sey ‘on tne presdined normene i No Signature /patient/Responsible Party Signature: Available emer Printed on 0109/2017 16:23:08 FIA OVERDENTURE [0006261 BRANDI HARDIN] [ 8221 E Nortnfeld Blt 24 MODERN DENTISTRY oteer co 00238 Jyh oF wontHFiELO Ph: 720-634-3498 mooeinBentryohorela cor {ati ic Sores SARTRE ember oosesut Si7osr ons AccePTED/PANNED ntered0109/17 eee rae on sume vce ‘timated Animated snimeued tema et “fants Scinany “tan Is conn custo mare = msoso2s0m 0000082800 aa oe on oe > est peor Mano eT , on0 on Sum COSA iin ie a ae ae > tout orc eerie mn ee oe eS ee > fovza oon nce 2 08 sm ks ome ; Seuss con aes 1 ian se 8 a ee 3 cous cen anes 3 BS Sh eee i fovea en anes 15 0 jie ee ea > Crosman 2 com toe te ateae > Scashernnsonn (one) eon oe > SesiconcowT em (oc) 7 oo ao Hi cauenerenneson (orc) 7 Seo as con saa 5 hot remov sano Tom im om ee aaa ; tuesacemomeurm 2 Sn. en ue ea H canecomecasr sem ose 08m‘ H Gnwsmonmomeums 3 pony mie S cmosactoe own i me ke ou te > Sau aweowenvomme i =. oe ne eo 5 taommenocenreo ao oe oe ee ae 5 cassmcunon ears ee Se eee 5 Siwsncnoomurnee 3 oo ne ae | ae oe S ciasemoisee 7 Seo cot oe toe 5 cou prowrarecnis aa ue ee as aa ns gms aah ase eaical cous mcision sToHeAT 25 yap mee kena Seen mecison araowrent 5 co tetas an ee am ae Se ices come jeenbe oe oma Payment Term omen [77S saree Ty understand ond AUTHORIZE the Uestment LISTED ABOVE. I AGREE T AM FINANCIALLY] [RESPONSIBLE FOR ALL TREATMENT STARTED. SET INDERSTAND my insurance’ Plan coverage, Incuding that my Tesurance/Pien may not pay the estimated arnou 5 (pitas pave, se er EULLy RESPONSIBLE IF MY INSURANCE/PLAN DOES NOT PAY these estimetes for ANY REASON andl ferstanc thet tis may increase my expense 1 RSet ont catincne plan, cher by Ty choice or by necessity, wil change the fees quoted. I understand ‘Suk Ghesever posalbie, Tvl be informed of any changes advance, : ee otnta's sontrocted fee wit mp nsurance/Pon may nok be the same as the Estimate, PUnderstana foled above. Gre, my nsuranee/Plan sojuoicates my claim, if my ‘hare wae overesumated. oF or ‘Grference. Te services are identified by a pre-defined numeric codes. TRS Sec‘Sined narnene codes mot the Weatment actualy Prat on 0109/2017 16:22:55 "4, MODERN DENTISTRY 221 Eee ted «= ‘Deawer, CO 80238 Sg or nonmariei Date 3/17/2017 9:57:27 AM Transaction ID 44306202 Transaction Type Sale ‘Amount $100.00 Enty ‘Swipe Patient Chan # 6261 Payment Summary : Visa payment for $100.00. Payment Account ga7 Last 4: Billing Name : BRANDI HARDIN Billing Address: 16199 GREENVALLEY RN BLV DENVER, CO 80239 Phone Number: 3033599679 Email Address © puaitad) P/A (POD) (0006283 ABIGAIL HARDIN} FOR ALL TREATMENT STARTED. SEE a Cor ay insurence/Pin coverage, including that my Insurance/Ptan may not pay the estimated 8mour 5) hstes above Per EULLY RESPONSIOLE IF MY INSURANCE/PLAN OOES NOT PAY these estimetes for ANY REASON ard] choice or by nevessty, wil change the fees quoted. 1 understand} om by cess, wil change the fees quoted methane tncorencerPian may not be the same as the Estimated Fee "i tny patie’ 'share "was overestimatec. 0 re identi by pre-deined mummers oa . F/A POWPD) [0006263 ABIGAIL HARDIN] g14 MODERN DENTISTRY ene OO 80038 Bye OF NORTHFIELD Ph 720-634-3404 v . MadernDentisteyOfNarthfield com Fama AraaeeneE Tara HaROTT Tm: booeaes Sect Sabre ACCEPTED/MANED enere.03/17/17 phase service ‘Tooth Surface cp meting Semameeee A 00 fF neo : ieee 5 ‘ow ; ae t ‘one fant eels > ote fe re Gn as ‘ at ousth cam EE cn an | oe ; Sos sore a em ae H toece ras vr rest Mo ae ee e Seow ccna oe) ae ue san c Soneenome ieee ae ; toy ono co ee ee ; sows RAP oTASTY TEST ee Gea ; tonto oroooowrsr cons on ee ? toss neTHOUR re) cam aoe tha H tnt oostn cnm EC poi eer ; souee pao TASTY Test ee ee : carmen on ae oe H faa cos Cou fc oo ue Ae : tons lone Sa on Hy souseran erst a ae ee ripe seen00 sesae tsorzae7ernaea20ng0 corcesyaLrenwarive ——_Entres.007/17 eee ree vim some vy tmnt anata pa F en om sc const jan a ee ae t Ciseewems s eae ee ae ; eeeaees = Se Nh ee ee : ste nenonnesou sec) te Se SS oe sone f Cem: Ss So ime an ee H tas vocourres irc reer : Sinaerennesons (orc) 3 Cle ee eee Farman Tes f ag I T MAVE READ, fully understend and AUTHORIZE the treatment LISTED ABOVE. X AGREE I AM FINANCIALLY Printed on 03/172017 11.28.38 SEPARATION PAGE Pee: uses ncn Years e307 oe TEE unt Sa 407) ASHE eos 1 MSRAnEy etpenesan satis sn on so reat comsrten echo) See. 6S eer] Q Vcr hitosiire cisco. com/envelopeopeneibestveoloo/DF1K:UsM2Qx2l./PaymentRZOArrangemanttt?an-UGFSDAWACEBCNINEMaIBWVUsCSOOMY! — Page of ‘ays, e104 chveoroypmaie ames acing 14 MODERN DENTISTRY snares Sao Scere i i H 5 i 2 Ht st asses tipssres isco conenvelopeopene osttejeoiDFkeY2Dgs¥T.SwWNoZmIZGWAGFSLmwaGIELONYDOre/JAMES.Men=SKFRRVAcDim Page ott susp, 12:00 0m toes cisco comjenvelopeopener/posisea/0o/DFIKASMWRNT. WNpZmIZGWuEGFeLmaGIALMNYEOs=/BRANDI IPenAOUGTHRILNROZG! Page 117 45/17, 12:08 PA 6 weeks Fee rn cpp nr oss ese for neon. “The right eaudal mammary chin is swollen and dark red. One gland is markedly swollen, rptured casily withthe lumen filled with bloody ee ad we pe cot, wus Re ETE retin the omsch inion! wat Thee my wan ‘No gross lesous are observed in te kidagy. Am abscess 2 x 2.x 2.em coutaining a small aout of ‘bloody materia is obsorved in the subcutaneoss to the right ventral region of the vulva ‘Necropsy Diagnosis: Manmmiary gland mastitis. Pheumonits ng svnit FAistopathoinys Histopath: Necropyy tissues, Hace, stan ‘Pathologlst: Vantooser, Suicy Page? of Date completed: 2182018 Date report entered:02/182013 ‘SectionvStides: 3812 ‘Not Available, Canine # Tissues: 10 oe i SMIACHL SMALL INTESTINE, COLON, ADRENAL GLAND: No senificant ions AREGION): Necrotizing hemorshagic suppurative celitiis, ‘SKIN (PERINEAL)s. Necrotizing bemorthagic suppurative cells. 1) tnterstitial pacer 22) Multifocal pulmonary bemosthage and edema. KIDNEY: 1) Mattes! lymphocytic interovitial nephritis. 2) Protiferaive glomerulonephropathy. BRAIN: Focal meningeal emorthage. ‘Stanley Vathooscr, DVM, MS, DACPV ” Page 3 of 4 Aceession#: C 130450306 Animal ID: Not Available specimen Asotate Comment tang ‘Staphylococcus sp. (Coagulase Positive) ‘Mammary gland-swab_ ‘Staphylococeus sp. (Coagulase Positve) ‘Mammary gland-swab ‘Streptococcus sp. (Alpha hemolytic) Liver ‘No Wacteia Isolated ria LUNG AND MAMMARY GLAND SWAB: Additimal work isin progress A. K. Swinfed. DVM, MS, DACVM Make A. K. Swinfond, DVM, MS, DACVM /ak Pages of SEPARATION PAGE Accession#: C103010165 Texas Veterinary Medical Diagnostic Laboratory System ‘Owner's Name: ‘Vererinarian/Submitter: Account 1Di: 22663, Hardin, Jarnes| Winnie Animal Clinic PO Box 268 Winnie, TX 72685, Date specimens reccived: 10/28/2010 Preliminary reports: Envi 11/1/2010, Email 11/3/2010 Phone report: Final report: ‘Email 11/3/2010 ‘Species: Canine ‘Age: 14.00 Days Animal 1D: Puppy ‘Breed: Shih Tru ‘Weight: ‘Sex: “Tests Requests: "eal lai when recive fr aes Toxisology request. “*ACtlonal inforation (ab un resdved by ax 10810 gen eopies toto Ncw. per De ABBE ip we Specisvens Submited: Puppy. =. = Clinieal History: 10/27/10. Owners poisoned and now believe dogs may have seu poisoned ax well. Puppy dled 10/27/10 st 2 weeks of age. *Owner is faxing us their Toxicology report which we will then fax to ‘you fo we ean test puppy for same toxins, Jet (Clinical Diegnosis: Previous Cases: ‘Treatment: Conelusion/Interpretation of Lab Findings: LLaborstony results as listed. Page 1 of $ Accession#: 103010165 LABORATORY TEST STATUS: Ordered Current Status ‘Histopoth: Necropsy tissues (H) ‘T2010 Completed 117372010 ‘Comments (T) 11372010 Completed 11/3/2010 GOMS mote H/12010 Completed 1171/2010 ‘Noeropsy, Canine, Feline <6 weeks (N) TO2B2010 Completed 11/1/2010 ‘Date necropsy completed: 10/28/10 ‘Prosector: Abbi, Bruce ate report entered: 102616 Number efanimals: 1 Puppy, Canine ie the earcaes ofa tri-eotored fermale puppy wiich fs normally Formed and well fesied. dork red and heavy with moist pleur: seetons fier low in 10% formalin, lated by bright yellow (presumtive bile stained) opaque ravenous content contains normal chyme and the colon normal pasty fecal terial. = No gross lesions. (ExT ae a Le j2{s1 Histopath: Necropsy fssues Pathologist: Abbit, Broce Date com; 1e2n0 Date report entered! 1/02/10 Sections(Stides: 23/5 Puppy, Cenine Tissues: 15 Page? 0f4 Accesston#: C103010165 Fee eae, URINARY BLADDER, SMALL INTESTINE, PANCREAS NEAR, KIDNEY, TRACHEA, ESOPHAGUS, STOMACH, SKELETAL MUSCLE: No sigicatlevone SPLEEN: itty, th ro up promi lated 1 crema ematopai e satiny aor Ie lagmostnion ofall mubrs of cls wlth the colutar Gebel ta ew fc! TREE Sot ae tec presi ster Ukr mcmama Ir en ‘of eosinophils) ofa accernponic by edema, seattered central veins are essociated with 2 similar ‘infiltrate, end small nombers of priportel and ceavilobular hepatocytes contain int LUNG: Thore is diffuse expancion of aivectar septa by 2 cellular infiltrane (primarily mononuctesr amar eget mass by eos: oa lemearcor homens ad see of many alveoli by edema, and focal inrasalycolsr hemorrhage and -eecumuletion of erythrocytes. EUR: Paes abc evo ld wi scompenying voir consoles and focal intra-aiveolar hemorrhage. LIVER: Completed 11/1/2010 Test: GOIMS innectcide Screen, qualitative ‘Animal 1D: Popry Specimen Test Interpretation ‘Stomach conent Inseeticide semen (GEMS) None detected ‘Paced lade road ane of caibamate end organochlorine insctcides, a5 well a5 ‘orgsnophosphite. permethrin, petroleum products, and some drugs. ~ Dr. Garfand Date Gompleea: 1VSA010 Page 3 of $ Accession#: €103010165 ‘Texicotogy Comments: Additional comment for slaty adéed 3 Nov 2010: ‘The insecticide screen will detect phenols, ergotamine and benzenediols, None were detected. ~ Dr. Gatland a ee {PIROPLASMOSIS TESTING AT TVMDL: “TYMOL em at fi a foreign animal dean em by Rabesia (Tait) eg ued Baberin ab. Pr mupénizon nee Gnas bo Tease, ses he TAHC wed she 2 bere be ae ‘Tate on lt Me, etna iy wie eal oy Spc Un te Sly BEESS Tass tiny Weacsarec tay ie requbetspecinen ee of ore ene The Wd ge ‘Meattncama'y snd soiled fo TVMOL a Sees vies. Dest te eoepieny ef reaslaey Epa rates oe ‘Satan the US, by deacteTVMIDL sl ren bhp wena "Po" tet rey W rescved. Shout yos equ only Demir enh nr en (TIONS - You MUST SPECIFY the reason for testing on your rabetsion fore, ‘TVMDL exo tt specimen: or TORLY fr intra-tate aed leterstate prperes. Testa far intreatios! export (for ingnene caver with poste calc aymplems, MUST estat to NVBL. sat a ae Een ct TID eres Yee on Tein, AAA TOL Ge fortes co Facebook sbnpueebosk conven and Cow us ox Tier Paget of 4 Request for Adding Additional Tests tT Please complet tis fox: to ads test. Fill inal approprive informa end Fax the form 10 TVMDL ‘3 (979) 815-1704 oF ema the expleted for tials Ngo Neaucynacs, Conic, ‘Account Nomber, 224e%e% Pomme: LAO) 26-248 Fee Piesue ADD testing for Accession #; LAC ACIC 9 Omer a ANS) ems Sogo Spoctes: WOTB: Af tere ts more than exo enna on the oFighaa! sabmission, plese spcify the ID(e) thet you ‘with add testing on..otherwthe, ALL ANIMALS oot ba ysied for wets adie tet sh, _ Additional texts) eoquested= ‘Aims SOK): SEPARATION PAGE LINKS TO A PLETHORA OF EVIDENCE FOR SF-95 FORM Separation page The UPS Store - #6540 ‘18601 Green Valley Ranch Blvd #108 Denver, CO 80249 (720) 723-2150 07/12/17 04:54 PM We are the one stop for all your shipping, postal and business needs. 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