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1 UNITED STATES DISTRICT COURT FOR THE CENTRAL DISTRICT OF CALIFORNIA TERRY FABRICANT, individually and on behalf of all others similarly situated, Plaintiff, vs. AMERISAVE MORTGAGE CORPORATION Defendants. No. 2:19-cv-04659-AB-AS Honorable Andre’ Birotte, Jr. DECLARATION OF BRADLEY D. MADDEN IN SUPPORT OF FINAL SETTLEMENT APPROVAL I, BRADLEY D. MADDEN, hereby declare as follows: I. INTRODUCTION 1. Personal Information. I am a Project Manager for Postlethwaite & Netterville, APAC (“P&N”). P&N was retained as the Settlement Administrator in this case, and, as the project manager, I am personally familiar with the facts set forth in this declaration. If called as a witness, I could and would competently testify to the matters stated herein. 2. The Capacity and Basis of this Declaration. I am over the age of 21. Except as otherwise noted, the matters set forth in this Declaration are based upon my personal knowledge, information received from the parties in this proceeding (the “Parties”), and information provided by my colleagues at P&N and our partners. II. BACKGROUND 3. Preliminary Approval. On May 21, 2020, the Court entered an order preliminarily approving the Settlement Agreement and the appointment of Postlethwaite & Netterville as Settlement Case 2:19-cv-04659-AB-AS Document 48-3 Filed 08/31/20 Page 1 of 50 Page ID #:984

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UNITED STATES DISTRICT COURT FOR THE CENTRAL DISTRICT OF CALIFORNIA

TERRY FABRICANT, individually and on behalf of all others similarly situated,

Plaintiff, vs. AMERISAVE MORTGAGE CORPORATION

Defendants.

No. 2:19-cv-04659-AB-AS

Honorable Andre’ Birotte, Jr.

DECLARATION OF BRADLEY D. MADDEN IN SUPPORT OF FINAL SETTLEMENT APPROVAL

I, BRADLEY D. MADDEN, hereby declare as follows:

I. INTRODUCTION

1. Personal Information. I am a Project Manager for Postlethwaite & Netterville, APAC (“P&N”). P&N

was retained as the Settlement Administrator in this case, and, as the project manager, I am

personally familiar with the facts set forth in this declaration. If called as a witness, I could and

would competently testify to the matters stated herein.

2. The Capacity and Basis of this Declaration. I am over the age of 21. Except as otherwise noted, the

matters set forth in this Declaration are based upon my personal knowledge, information received

from the parties in this proceeding (the “Parties”), and information provided by my colleagues at

P&N and our partners.

II. BACKGROUND

3. Preliminary Approval. On May 21, 2020, the Court entered an order preliminarily approving the

Settlement Agreement and the appointment of Postlethwaite & Netterville as Settlement

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Administrator. After the Court granted preliminary approval of the Settlement, P&N began to

implement and coordinate the notice program and claims process.

4. The Purpose of this Declaration. I submit this Declaration to evidence P&N’s compliance with the

terms of the Preliminary Approval Order and detail P&N’s execution of its role as the Settlement

Administrator.

III. CLASS NOTICE PROGRAM EXECUTION

5. Notice Database. P&N maintains a database of 2,375,245 class members which was used to

effectuate the notice campaign as outlined within the Settlement Agreement.

6. Reverse Lookups. P&N received an initial data file containing 2,375,245 Class Members. To verify

and update the contact information for the Class Members, P&N coordinated a reverse lookup

analysis on the phone numbers and addresses for the 2,375,245 Class Members. This process

resulted in updates for 1,679,554 Class Members.

7. Mail Notice. P&N coordinated and caused the mailing of the Postcard Notice to be mailed via First-

Class Mail to Class Members for which (a) a mailing address was provided to P&N or (b) a mailing

address was obtained from the reverse lookup process. The Postcard Notice included a “tear-off”

Claim Form with prepaid return postage, a link to the case website for access to additional

information, and the return address of the P.O. Box maintained for the purpose of receiving the

submitted Claim Form submissions and undeliverable Postcard Notices in connection with this

Settlement. A true and correct copy of the Postcard Notice is attached hereto as Exhibit 1.

8. Mail Notice Delivery. Prior to the Postcard Notice mailing, all mailing addresses were checked

against the National Change of Address (NCOA) database maintained by the United States Postal

Service (USPS). In addition, the addresses were certified via the Coding Accuracy Support System

(CASS) to ensure the quality of the zip code, and verified through Delivery Point Validation (DPV)

to verify the accuracy of the addresses. P&N executed Postcard Notice mailings for 2,375,245

Records and supplemental mailings for 80,005 Settlement Class Members for which an initial

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Postcard Notice was not deliverable but for which P&N was able to obtain an alternative mailing

address through (1) forwarding addresses provided by the USPS, (2) skip trace searches using the

LexisNexis third party vendor database, or (3) requests received directly from Class Members. Mail

notice delivery statistics are detailed in Section 15 below.

9. Digital Notice. In addition to direct mail programs, P&N executed audience-specific media targeting

campaigns to reach and inform potential Class Members in an efficient, media appropriate and cost-

effective manner using consumer and audience data such as demographic, geographic, behavioral,

and other interest-based parameters to target audiences. P&N used market knowledge and

experience to deliver ad campaigns to premium online networks and integrate tracking and

analytics for constant optimization of the Media Notice campaign.

10. Digital Notice Delivery. Ads were displayed on Facebook and Google for a total of 100,337,530

impressions. Through Facebook, 23,729,043 total impressions were gained, while Google Ad

Network ads gained 76,608,487 impressions in the following display formats: 300x250, 300x600,

728x90, and 970x250. Copies of the digital ads are provided in Exhibit 2.

11. Settlement Post Office Box. P&N established the following dedicated Post Office Box (the “P.O.

Box”) for the Settlement Program:

AmeriSave TCPA Settlement Administrator c/o Postlethwaite & Netterville

P.O. Box 341 Baton Rouge, LA 70821-9917

The P.O. Box serves as a location for the USPS to return undeliverable program mail to P&N and for

Class Members to submit Claim Forms, Exclusion Request Forms, and other settlement related

correspondence. The P.O. Box address appears prominently in all notices and in multiple locations

on the Settlement Website. P&N monitors the P.O. Box daily and uses a dedicated mail intake team

to process each item received.

12. Settlement Website. On June 19, 2020, P&N published the case website,

www.AmeriSaveTCPAclaims.com, which includes details of the Settlement. The Settlement Website

address appeared prominently in all notices, and, as of August 28, 2020, has generated 226,963

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users1 completing more than 270,799 sessions. By accessing the website, recipients are able to

easily access the following documents and information:

a. The Long Form Notice (attached as Exhibit 3);

b. The Class Action Complaint;

c. The Motion for Preliminary Approval and Supporting Declaration of Terry Fabricant;

d. The Settlement Agreement and Release;

e. The Court’s Preliminary Approval Order;

f. The Claim Form (attached as Exhibit 4);

g. An Online Claim Filing option;

h. The Exclusion Request Form, both online submission and print to mail;

i. Important Dates and Deadlines;

j. Frequently Asked Questions (FAQs) and answers thereto;

k. Claimant Contact Information Update Form; and

l. Contact information for the Claims Administrator.

13. Toll-Free Number. P&N established a toll-free telephone number, 1-833-440-0743 (the “Toll-Free

Number”), which is available twenty-four hours per day. Settlement Class Members can call and

interact with an interactive voice response (“IVR”) system that provides important settlement

information and offers the ability to leave a voicemail message to address specific requests or

issues. The Toll-Free Number appeared in all notices, as well as in multiple locations on the

Settlement Website. The Toll-Free Number will remain active through the close of this Settlement

Program. As of August 28, 2020, P&N has received 14,782 calls to the toll-free number with a total

listening duration of 51,151 minutes.

1 In Google Analytics, “users” are the number of new people who visit a site during a given time period. Google also notes that because a “user” is identified by the computer and web browser they are using; the metric can include overlap for people who visit from multiple computers or web browsers.

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14. Email Support. P&N established an Email address, [email protected], to provide

an additional option for Class Members to address specific questions and requests to the Settlement

Administrator for support. The Email address is displayed on the Settlement Website.

IV. NOTICE PROGRAM REACH

15. Notice Reach Results. The Direct Notice program reached a total of 2,327,630 (98.0%) Settlement

Class Members2. Table 1 below provides an overview of dissemination results for the Notice

Program and Table 2 provides an overview of the reach statistics for the Notice Program.

Table 1: Direct Notice Program Dissemination Results

Description Volume of

Class Members (#)

Percentage of Class

Members (%)

Settlement Class Members 2,375,245 100.0% Mail Notice

Total Postcard Notices Mailed 2,375,245 100.0% Total Postcard Notice Returned as Undeliverable 118,865 5.0%

Mail Notice Re-Mailed Total Postcard Notices Re-mailed 80,005 3.4% Total Undeliverable (Re-Mailed) Postcard Notice 8,755 0.4%

Table 2: Direct Notice Program Reach Statistics Description Volume (#) Reach (%)

Settlement Class Members 2,375,245 100.0% Received Post Card Notice 2,327,630 98.0% Received Direct Notice 2,327,630 98.0%

V. CAFA NOTICE

16. CAFA Notice. Upon receipt of information from Counsel, on April 22, 2020, pursuant to 28 U.S.C. §

1715(b), P&N distributed via Certified Mail a cover letter and an enclosed read-only compact disc

upon the recipients listed in Exhibit 5 to this Declaration, i.e., the U.S. Attorney General and the

2 A Settlement Class Member is considered “reached” by direct Notice if a Postcard Notice mailed to the Settlement Class Member has not been returned by the USPS as undeliverable.

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appropriate government officials for all fifty states, the District of Columbia, American Samoa,

Guam, Northern Mariana Islands, Puerto Rico, and the Virgin Islands. The compact disc included:

(1) A copy of the Class Action Complaint filed on May 29, 2019;

(2) A copy of the First Amended Complaint filed on August 08, 2019;

(3) A copy of the Second Amended Complaint filed on February 24, 2020;

(4) A copy of Plaintiff’s Notice and Motion for Preliminary Approval of Class Action

Settlement and Certification of Settlement Class with AmeriSave filed on February

07, 2020 including the (1) Settlement Agreement and Release with exhibits

including the detailed and short form notice with exclusion rights, and (2) the

Proposed Order (a) Conditionally Certifying a Settlement Class, (b) Preliminarily

Approving Class Action Settlement, (c) Approving Notice Plan, and (d) Scheduling

Final Approval Hearing;

(5) Per 28 U.S.C. § 1715(b)(7), a list of potential class members by state.

Exhibit 6 to this Declaration shows a copy of the CAFA Notice that we mailed as described above,

with exhibits omitted due to size.

17. Proof of Delivery. P&N sent the CAFA Notice by Certified Mail and tracked the delivery of each CAFA

notice packet. Exhibit 5 to this Declaration shows delivery confirmation information for the CAFA

Notice. We obtained the delivery confirmation information from USPS return receipts and also

received receipt confirmation correspondence from a small number of recipients.

18. Responses to the CAFA Notices. As of August 28, 2020, P&N has not received any questions or

objections from recipients of the CAFA Notice.

VI. CLAIM ACTIVITY

19. Claim Intake. The online claim submission platform was available beginning June 19, 2020. It will

be removed from the Settlement Website at the end of the claims period on September 19, 2020 at

12:00 AM HST/6:00 AM EST. P&N shall continue to analyze claims that have been received as well

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as any additional timely claims mailed to the P.O. Box and postmarked by the claims deadline. As of

August 28, 2020, P&N has received and processed a total 220,925 claims and continues to receive

a significant volume of new claims every day. P&N projects that it will receive in excess of 300,000

claims by the claims deadline.

VII. EXCLUSIONS AND OBJECTIONS

20. Exclusions (Opt Outs) Received. P&N received a total of one hundred sixteen (118) exclusion

requests from Settlement Class Members as of August 28, 2020. A listing and copies of all exclusion

request submissions are attached as Exhibit 7.

21. Settlement Objections. As of August 28, 2020, P&N has not received any objections from Settlement

Class Members.

VIII. NOTICE AND ADMINSTRATION COSTS

22. Notice and Administration Costs. P&N originally estimated that total notice and administrative

costs to be $1,352,194 based on several key assumptions. The Settlement Agreement indicated that

the costs and expenses related to claims administration shall not exceed $1,400,000. P&N considered

that not-to-exceed amount reasonable contingent on the underlying key assumptions from the

original cost estimate including, but not limited to, postcard notice mailings to 1,874,598 Settlement

Class Members and 234,325 total claim submissions. Actual postcard notice mailings totaled

2,375,245 (an increase of 500,647 postcards) and, as described in Section 19, P&N has processed a

total 220,925 claims as of August 28, 2020 and continues to receive a significant volume of new

claims every day. P&N projects that it will receive in excess of 300,000 claims by the claims deadline.

P&N projects total notice and administrative costs to exceed $1,550,000. Upon conclusion of the

claims period, P&N can provide an updated declaration.

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IX. CERTIFICATION

I, Bradley D. Madden, declare under penalty of perjury pursuant to 28 U.S.C. § 1746 that the foregoing

is true and correct to the best of my knowledge. Executed on this 31st day of August, 2020.

__________________________________________ Bradley D. Madden

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Exhibit1(Postcard Notice)

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Fabricant v. AmeriSave, Case No. 19-cv-04659-AB-AS, (C.D. Cal.)To submit a claim, please fill out the form below before September 18, 2020. You may also file a claim online at www.AmeriSaveTCPAclaims.com.

SETTLEMENT CLAIM FORMTo be included as part of the Settlement, you must be listed in our records as having received communications from AmeriSave on your cellular telephone. If you were mailed this postcard, you probably received these communications.

CERTIFICATION: By signing and submitting this Claim Form, I certify that I received a communication from AmeriSave on the above cellular phone number between April 1, 2018 and Dec. 31, 2019, and I was the subscriber or user of the cellular phone number at the time of the communication.

Signature: __________________________________________________________________________________________________

For more information, visit www.AmeriSaveTCPAclaims.com or call 1-833-440-0743.

First Name Last Name

Street Address

Email Address (If you provide a valid email address, you will receive an email to select your payment preference.)

State Zip CodeCity

Postal Service: Do not mark or cover barcode

AmeriSave TCPA Settlement AdministratorP.O. Box 341Baton Rouge, LA 70821

PRESORTEDFIRST CLASSU.S. POSTAGE

PAIDFPI

FPI First Class_NoBorder_SanSerif.indd 111/7/12 12:29 PM

Legal Notice

Fabricant v. AmeriSave, Case No. 19-cv-04659-AB-AS, (C.D. Cal.)You may be Eligible for a Payment from a Class Action Settlement.

A settlement has been proposed in Terry Fabricant, individually and on behalf of all others similarly situated, v. AmeriSave Mortgage Corporation, Case No. 19-cv-04659-AB-AS, pending in the U.S. District Court for the Central District of California (the “Court”).The Lawsuit alleges that AmeriSave Mortgage Corporation. (“AmeriSave” or “Defendant”) sent communications to cellular telephone subscribers on their cellular telephones without their prior consent in violation of Sections b and c of the Telephone Consumer Protection Act, 47 U.S.C. § 227 et seq. (“TCPA”). AmeriSave denies any wrongdoing, but has agreed to settle the Lawsuit to avoid further litigation.Who Is Included? You are receiving notice because AmeriSave’s records indicate that you were contacted by AmeriSave on your mobile phone between April 1, 2018 and December 31, 2019.

Settlement Claim ID: [Claim-ID]Cell Phone Number that received a communication from AmeriSave: [Cell Number]

[ENDORSE}Settlement Claim ID: [number] [FIRST NAME] [LAST NAME][ADDRESS] [ADDRESS][CITY] [STATE] [ZIP]

ELECTRONIC SERVICE REQUESTED

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Summary of the Settlement: Defendant has agreed to establish a Settlement Fund of $6,250,000 to pay settlement class members who make valid, timely claims; pay Class Counsel’s attorneys’ fees of up to 20% of the Settlement Fund; pay Class Counsel’s actual costs up to $50,000; pay a service award to the Class Representative up to $5,000; and pay costs and expenses of settlement administration.

How do I get a payment? If you are a Settlement Class Member and want to be a part of the Settlement Class, you need to complete and submit the enclosed Claim Form, either by mailing it to P.O. Box 341, Baton Rouge, LA 70821 or submitting it online at www.AmeriSaveTCPAclaims.com. Your Valid Claim Form must be submitted online or postmarked no later than September 18, 2020. After the Settlement’s Effective Date and after the Court grants final approval of the Settlement, you will receive payment for an amount that shall be calculated pro rata based on the number of Valid Claim Forms that are submitted by the Settlement Class. Failure to timely submit a valid claim form will make you a Settlement Class Member and bind you to the terms of the Settlement Agreement, but will also forfeit your right to claim your portion of the Settlement Fund.

What are my rights? If you do not want to be legally bound by the Settlement, you must exclude yourself from the Settlement Class by submitting an Opt-Out Form, which can be accessed at the Settlement Website address below. The deadline to exclude yourself is September 30, 2020. If you exclude yourself from the Settlement Class, or fail to timely submit a Valid Claim Form, you will not receive any money from the Settlement. If you do not exclude yourself, you will release any claims against AmeriSave with regard to the subject marketing communications between April 1, 2018 and December 31, 2019, and will not be able to sue AmeriSave for any claim relating to this Lawsuit. If you do not exclude yourself and remain in the Settlement Class, you may object to the Settlement by September 30, 2020. The Court will hold a hearing on November 20, 2020 to consider whether to approve the Settlement and plaintiff’s request for attorneys’ fees and expenses. You may appear and speak at the hearing, but you are not required to. You may also hire an attorney at your own expense to appear or speak for you at the hearing.

Do I Have a Lawyer? Yes. The Court appointed the Law Offices of Todd M. Friedman, P.C. to represent you and the other Settlement Class Members. They are called “Class Counsel.” More information about this law firm, their practices, and their lawyers is available at http://www.toddflaw.com.

For more information about the Settlement, visit www.AmeriSaveTCPAclaims.com or call 1-833-440-0743.

All capitalized terms in this notice are defined in the Settlement Agreement.

Makaron v. Enagic USA, Inc., Case No. 2:15-cv-05145-DDP -E (C.D. Cal.)

THIS SUMMARY NOTICE PROVIDES LIMITED INFORMATION ABOUT THE SETTLEMENT.

Summary of the Settlement: Defendant has agreed to pay twelve dollars ($12.00) to each Class Member who submits a valid and

timely claim, pay Class Counsel’s attorneys’ fees of up to $1,300,000, pay Class Counsel’s actual costs up to $60,000, pay a service

award to the Class Representative of $7,500, and pay costs and expenses of settlement administration. Defendant has also agreed to an

injunction regarding its and its Distributors calling practices and compliance with the Telephone Consumer Protection Act.

Can I Get Money from the Settlement? Yes, each Class Member who submits a valid and timely Settlement Claim will receive a

cash award of twelve dollars ($12.00).

How Do I Make A Settlement Claim? To make a claim 1) fill out, sign, and mail this claim form back; 2) submit a claim online at

www.EnagicTCPASettlement.com; OR 3) print and complete the form from the Settlement website and mail to the address below.

Claim forms must be submitted online or, if by mail, postmarked on or before November 14, 2019.

Do I Have a Lawyer? Yes. The Court has appointed the Law Offices of Todd M. Friedman, P.C. as counsel for the Class. The lawyers

will be paid by Defendant as part of the Settlement. You may hire your own lawyer to represent you at your own expense.

What Should I Do? Class Members have four options: (1) Submit a Claim to the Settlement Administrator to receive twelve

dollars ($12.00). If the Settlement is approved, you will not have the right to sue separately for damages of $500 per call, or $1,500

per calls made willfully. (2) Remain a Class Member but object to the Settlement. Instructions for objecting are available at

www.EnagicTCPASettlement.com. Objections and supporting documents must be mailed to the Court postmarked by November 14, 2019.

You may choose to pay for and be represented by a lawyer who may send the objection for you. (3) Exclude yourself from the

Settlement by mailing a request to the Settlement Administrator (not the Court). You must state in writing your name, address, the cell

number at which you believe you received a call from Defendant, and that you want to be excluded from this Settlement. Exclusions

must be signed and postmarked no later than November 14, 2019. (4) Do Nothing: If you do nothing, you will remain part of the

Settlement Class and will release your claims against the Released Parties, but you will not receive any money from this Settlement.

Scheduled Hearing: The judge scheduled a hearing for January 13, 2020 at 10:00 a.m., at the United States District Court for

the Central District of California, United States Courthouse, 350 W. 1st Street, 6th Floor, Courtroom 9C, Los Angeles, CA 90012,

regarding whether to give final approval to the Settlement, including the amounts of any attorneys’ fees, costs, and class representative

award. The hearing may be changed without notice. It is not necessary for you to appear at this hearing, but you may attend at your

own expense.

For more information: Visit: www.EnagicTCPASettlement.com; Call: 1-888-662-7142; or write to: ENAGIC TCPA SETTLEMENT

c/o Postlethwaite & Netterville, P.O. Box 3518, Baton Rouge, LA 70821

78187-52197_Mockup.indd 2 8/1/19 9:45 AM

WILMINGTON TRUST TCPA SETTLEMENTC/O POSTLETHWAITE & NETTERVILLEP.O. BOX 3137BATON ROUGE, LA 70821-9908

AMERISAVE TCPA SETTLEMENT

C/O POSTLETHWAITE & NETTERVILLE

P.O. BOX 341

BATON ROUGE, LA 70821-9917

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Exhibit2(Digital Ads)

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Exhibit3(Long Form Notice)

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Fabricant v. AmeriSave, Case No. 19-cv-04659-AB-AS United States District Court for the Central District of California

YOU MAY BE ENTITLED TO BENEFITS FROM A CLASS ACTION SETTLEMENT A federal court authorized this notice. This is not a solicitation from a lawyer.

• A proposed settlement has been reached in Terry Fabricant, individually and on behalf of all others similarly situated, v. AmeriSave Mortgage Corporation, Case No. 19-cv-04659-AB-AS, pending in the U.S. District Court for the Central District of California (the “Court”).

• The Lawsuit alleges that AmeriSave Mortgage Corporation (“AmeriSave” or “Defendant”) sent communications to cellular telephone subscribers on their cellular telephones without their prior consent in violation of the Telephone Consumer Protection Act, 47 U.S.C. § 227 et seq. (“TCPA”) Defendant strongly denies any claims of wrongdoing, but has agreed to settle the lawsuit (defined below) to avoid the burden and cost of further litigation.

• You are a Settlement Class member if AmeriSave’s records indicate that – you were contacted by

AmeriSave on your mobile phone between April 1, 2018 and December 31, 2019.

• Capitalized terms used in this Notice, other than those defined in this Notice, shall have the same meaning as set forth in the Settlement Agreement.

• Your Legal Rights Are Affected Even If You Do Not Act. Please Read This Notice Carefully.

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YOUR LEGAL RIGHTS AND OPTIONS IN THIS SETTLEMENT DEADLINE

Submit a Claim Form

If you are a valid Settlement Class Member and wish to receive your portion of the Settlement Fund, you need to complete and submit a Claim Form, either by mailing it to AmeriSave TCPA Settlement Administrator, P.O. Box 341, Baton Rouge, LA 70821 or submitting it online at www.AmeriSaveTCPAclaims.com. After the Settlement’s Effective Date and the Court’s final approval of the Settlement, you will receive payment for an amount that shall be calculated pro rata based on the number of Valid Claim Forms that are submitted by the Settlement Class.

September 18, 2020

Do Nothing

If you do nothing, you will become a Class Member bound by the terms of the Settlement Agreement and Final Judgment, thus forfeiting your right to sue on your own regarding any claims that are part of the settlement. However, your failure to timely submit a Valid Claim Form will forfeit your right to receive your portion of the Settlement Fund. All unclaimed Settlement Funds will then be given to Electronic Privacy Information Center (EPIC).

No Deadline

Ask to Be Excluded

You can opt out of the settlement by submitting a Valid Exclusion Request to the Claims Administrator. If you do so, you will not be eligible to receive a settlement payment. But you will retain the right to sue on your own regarding any claims that are part of the settlement.

September 30, 2020

Submit an Objection

You may remain a part of the settlement and write to the Court to explain why you do not like the settlement. You may appear and speak at the Final Approval Hearing on your own or through a lawyer hired by you at your own expense. If the settlement is approved over your objection, however, you will receive payment for an amount to be determined based off of your pro rata share of the Net Settlement Fund after the settlement’s Effective Date and after the Court grants final approval of the settlement. You will be bound by the settlement and give up your right to sue on your own regarding any claims that are part of the settlement.

September 30, 2020

Go to a Hearing

Ask to speak in Court about the fairness of the Settlement if you file a valid and timely objection. November 20, 2020

THESE RIGHTS AND OPTIONS

– AND THE DEADLINES TO EXERCISE THEM –

ARE EXPLAINED IN THIS NOTICE.

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WHAT THIS NOTICE CONTAINS

BASIC INFORMATION

1. Why is there a Notice? 4

2. What is a class action and who is involved? 4 3. What lawsuit is involved in this settlement? 4 4. What is this Class Action about? 4 5. Why is there a settlement? 4

SETTLEMENT MEMBERS

6. Am I a member of the Settlement Class? 5

THE PROPOSED SETTLEMENT

7. What benefits will I receive as a Settlement Class Member? 5

8. Are settlement benefits available now? 5 YOUR RIGHTS AND OPTIONS

9. What happens if I do nothing? 6

10. If I remain in the Settlement Class, what claims do I give up? 6 11. Why would I ask to be excluded? 6 12. How do I exclude myself from the Settlement Class? 6 13. Can I object to the settlement? 7 14. When is the Final Approval Hearing? 7 15. Do I have to attend the Final Approval Hearing? 8 16. What is required if I object and want to attend the Final Approval Hearing? 8 17. May I speak at the Final Approval Hearing? 8

THE LAWYERS REPRESENTING YOU

18. Does the Settlement Class have a lawyer? 8

19. Should I hire my own lawyer? 8 20. How will Class Counsel be paid? 8 21. Will the Class Representative request any payments in addition

to the settlement benefits? 9

MORE INFORMATION

22. Where can I get more information? 9

23. May I contact the Court or Defendant directly 9

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BASIC INFORMATION 1. Why is there a Notice?

The purpose of this Notice is to inform potential class members about the proposed settlement of a class action lawsuit. This Notice explains:

o What the lawsuit and the settlement are about.

o Who is a member of the Settlement Class.

o Who represents the Settlement Class Members in the lawsuit.

o What your legal rights and choices are.

o How and by when you need to act.

2. What is a class action and who is involved?

In a class action lawsuit, one or more people, called “Named Plaintiffs” or “Class Representatives,” sue on behalf of people who the Named Plaintiff believes has similar claims. The people together are called the “Class” or “Class Members.” In this case, the Named Plaintiff and the company being sued, the Defendant, have reached a proposed settlement. A Court is considering whether to approve the settlement, so it has allowed, or “certified,” this case as a class action for settlement purposes only. All decisions that the Court makes concerning the settlement will affect everyone in the Settlement Class.

3. What lawsuit is involved in this settlement?

A class action was filed in the United States District Court for the Central District of California entitled Terry Fabricant, individually and on behalf of all others similarly situated, v. AmeriSave Mortgage Corporation, Case No. 19-cv-04659-AB-AS (C.D. Cal.). This lawsuit is referred to as the “Class Action.”

4. What is this Class Action about?

This Class Action alleges that Defendant sent communications to cellular telephone subscribers on their cellular telephones without their prior consent in violation of Sections b and c of the Telephone Consumer Protection Act, 47 U.S.C. § 227 et seq. (“TCPA”).

Defendant strongly denies any wrongdoing, but has agreed to settle the Lawsuit in order to avoid the burden and cost of further litigation.

5. Why is there a Settlement?

The Court did not decide in favor of the Named Plaintiff or Defendant. The Class Representative and Class Counsel (listed below) believe that the claims asserted in the Class Action have merit, but believe that the settlement is in the best interests of the Settlement Class. Class Counsel has evaluated information made available in the course of the lawsuit and settlement negotiations and have taken into account the risks and uncertainties of proceeding with the Class Action. Those risks include the uncertainty of obtaining and maintaining class certification, prevailing on the merits, proving substantial damages at trial, and prevailing on post-trial motions and likely appeals. Based upon the consideration of these and other factors, including the substantial time and expense of further litigation, Class Counsel believe that it is in the best interests of the Settlement Class to settle the Class Action on the terms described below.

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Defendant strongly denies any wrongdoing and does not believe it has any liability to the Class Representative or the Settlement Class. However, Defendant believes that it is in its best interest to settle the Class Action under the terms of the Settlement Agreement and obtain closure on these matters to avoid the uncertainty, expense, and diversion of business resources resulting from further litigation.

The Parties engaged in settlement negotiations, participated in mediation before a professional mediator, and shared information pertaining to the claims asserted in the Class Action before reaching the settlement.

This Notice does not imply that any court has found or would have found that Defendant violated the law, that a class would have been certified, or that any member of the class would have recovered any amount of damages if the Class Action were not settled.

WHO IS IN THE SETTLEMENT?

6. Am I a Member of the Settlement Class?

You are a member of the Settlement Class if:

o AmeriSave’s records indicate that you were contacted by AmeriSave on your mobile phone in connection with the promotional and/or marketing campaign between April 1, 2018 and December 31, 2019.

o You are not a current or former employee, officer, director, agent, or legal representative of AmeriSave,

or its affiliated entities.

THE TERMS OF THE PROPOSED SETTLEMENT

This Notice provides a summary of some, but not all, of the terms of the Settlement Agreement. Visit www.AmerisaveTCPAclaims.com to see a copy of the entire Settlement Agreement. The Settlement Agreement must be approved by the Court and become “Final” before any benefits are paid.

7. What benefits will I receive as a member of the Settlement Class?

The Defendant has agreed to establish a Settlement Fund of $6,250,000 to pay settlement class members who make valid, timely claims; pay Class Counsel’s attorneys’ fees of up to 20% of the Settlement Fund; pay Class Counsel’s actual costs up to $50,000; pay a service award to the Class Representative up to $5,000; and pay costs and expenses of settlement administration. After the Court grants final approval of the Settlement, each Settlement Class Member who submitted a Valid Claim Form as described above will receive a check in the mail, or through electronic payment, for an amount that shall be calculated pro rata based on the number of Valid Claim Forms that are submitted by the Settlement Class.

8. Is there any money available now?

No. No money or benefits are available now because the Court has not yet decided whether to approve the settlement and because it is not yet final. There is no guarantee that money or benefits will ever be distributed.

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YOUR RIGHTS AND OPTIONS This Notice is being provided to you so that you can decide whether to participate in the settlement.

9. What happens if I do nothing?

If you do nothing, you will become a Class Member bound by the terms of the Settlement Agreement and Final Judgment, thus forfeiting your right to sue on your own regarding any claims that are part of the settlement. However, your failure to timely submit a Valid Claim Form will forfeit your right to receive your portion of the Settlement Fund. All unclaimed Settlement Funds will then be given to Electronic Privacy Information Center (EPIC).

10. If I remain in the Settlement Class, what claims do I give up?

If you remain in the Settlement Class, you give up your right to sue in court or arbitration or be part of any other lawsuit or arbitration against Defendant or its affiliates regarding any issues related to the Released Claims (please see the Settlement Agreement for the claims that will be released). Additionally, all of the Court’s orders will apply to you and legally bind you.

11. Why would I ask to be excluded?

You may want to exclude yourself from the Settlement Class if you already have filed (or intend to file) a lawsuit or arbitration against Defendant or its affiliates for the Released Claims and want to continue that lawsuit or arbitration individually, on your own behalf. If you do not exclude yourself, you will be legally bound by all orders of the Court regarding the Settlement Class, the Settlement Agreement, and the Released Claims. All Settlement Class Members who do not ask to be excluded will be forever barred from asserting against Defendant and its affiliates any and all actions, claims, causes of action, proceedings, or rights of any nature and description whatsoever regarding the Released Claims, as more fully described in the Settlement Agreement. Settlement Class Members who request exclusion shall not be entitled to recover any benefits from the settlement. Settlement Class Members who request exclusion will not receive a check in the mail, nor any other form of payment, after the settlement becomes Final.

12. How do I exclude myself from the Settlement Class?

You may exclude yourself (“opt out”) from the Settlement Class by submitting an Opt-Out Form available at the Settlement Website, www.AmeriSaveTCPAclaims.com. You may submit this form electronically through the Settlement Website or you may print out the form and mail it to the Settlement Administrator. If you choose to mail your Opt-Out Form, please send it to the following address:

AmeriSave TCPA Settlement Administrator P.O. Box 341

Baton Rouge, LA 70821

The Opt-Out Form must be submitted electronically or postmarked no later than September 30, 2020.

If you exclude yourself from the settlement, you cannot object to the settlement and you will not receive any money or other benefits from the Settlement. However, you may rescind your request for exclusion by providing written notice of withdrawal to the Settlement Administrator no more than fourteen (14) days after the Final Approval Hearing.

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13. Can I object to the settlement?

Yes, but not if you exclude yourself from the Settlement Class. Objecting is simply telling the Court that you do not like something about the settlement but that you elect to remain in the Settlement Class. All objections that are served on the Settlement Administrator by the deadline of September 30, 2020 will be considered at the Final Approval Hearing on November 20, 2020. If you do not serve an objection, you waive your right to appeal any Court order or judgment related to the settlement. If the settlement is ultimately approved over your objection, you will receive payment in the amount of your pro rata share of the net Settlement Fund less attorney’s fees, costs of suit and administration costs, after the settlement’s Effective Date and after the Court grants final approval of the settlement. You will be bound by the settlement and give up your right to sue on your own regarding any claims that are part of the settlement.

To object to the settlement, you must submit a written objection to the Settlement Administrator, by the objection deadline. Please note you must submit an objection to the Settlement Administrator and to the Clerk of Court if you intend to appear and speak at the Final Approval Hearing. Your written objection must include:

o The name and case number of this lawsuit; o Your full name, address, email, and mobile telephone number; o A written statement of all grounds for your objections accompanied by any legal support for such

objections; o Copies of any papers, briefs or other documents upon which your objection is based; o A written statement as to whether you intend to appear at the Final Approval Hearing; o A declaration setting forth any other objections submitted by you or your counsel (if any) to any class

action settlement submitted in any court (whether state, federal or otherwise) in the United States in the previous five (5) years, along with the case name(s) and case number(s) of any other such matters to which you have objected; and

o If you intend to appear at the Final Approval Hearing through counsel at your own expense, you must also identify the attorney(s) representing you who will appear at the Final Approval Hearing.

The deadline to submit your objection is to the Settlement Administrator is September 30, 2020. The address for the Settlement Administrator is:

AmeriSave TCPA Settlement Administrator c/o Postlethwaite & Netterville

P.O. Box 341 Baton Rouge, LA 70821

14. When is the Final Approval Hearing?

The Court will hold a Final Approval Hearing on November 20, 2020, at 10:00 a.m. in Courtroom 7D of the United States District Court for the Central District of California, the Honorable Andre’ Birotte Jr. presiding, located at 350 West First Street, 7th Floor, Los Angeles, California 90012. The date of the Final Approval Hearing may change, so please refer to the settlement website to confirm the date and time of the Final Approval Hearing. At the Final Approval Hearing, the Court will consider if:

o The settlement is fair, reasonable, and adequate; o The settlement should be approved; and o Any objections to the settlement and, if so, whether those are valid.

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15. Do I have to attend the Final Approval Hearing?

No. Your attendance at the Final Approval Hearing is not required even if you submit a written objection. However, you or your attorney may attend the hearing at your own expense.

16. What is required if I object and want to attend the Final Approval Hearing?

In addition to the requirements for submitting objections, as listed above in question 13, if you and/or your attorney intend to appear at the Final Approval Hearing, you must provide to the Settlement Administrator (who shall forward it to Class Counsel and Defense Counsel) and file with the Clerk of the Court a notice of intention to appear at the Final Approval Hearing no later than October 21, 2020 or as the Court may otherwise direct. The address for the Clerk of the Court is:

Clerk of the Court

Dept 7D U.S. District Court for the Central District of California

350 West First Street Los Angeles, CA 90012

You may file the notice of intention to appear in person or electronically in the case of Terry Fabricant, individually and on behalf of all others similarly situated, v. AmeriSave Mortgage Corporation, Case No. 19-cv-04659-AB-AS (C.D. Cal.) in the United States District Court for the Central District of California.

17. May I speak at the Final Approval Hearing?

Yes, you may speak at the Final Approval Hearing to object to the proposed settlement, but only if you have submitted a written objection and filed a notice of intention to appear as described above (unless the Court provides otherwise). You may also enter an appearance through an attorney hired at your own expense.

THE LAWYERS REPRESENTING YOU

18. Does the Settlement Class have a lawyer?

Yes. The Court appointed the Law Offices of Todd M. Friedman, P.C. to represent you and the other Settlement Class Members. They are called “Class Counsel.” More information about this law firm, their practices, and their lawyers is available at http://www.toddflaw.com.

19. Should I hire my own lawyer?

You do not need to hire your own lawyer because Class Counsel is working on your behalf. However, you may hire an attorney at your own expense to represent you and speak on your behalf.

20. How will Class Counsel be paid?

If the Court approves the Settlement Agreement at the Final Approval Hearing, then Class Counsel will ask the Court for an award of reasonable attorneys’ fees and costs in an amount not to exceed $1,300,000.

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21. Will the Class Representative request any payments in addition to the Settlement Benefits?

Yes. The Class Representative in this Class Action is Named Plaintiff Terry Fabricant. Class Counsel will request that the Court grant an incentive award of up to $5,000 for the Class Representative.

MORE INFORMATION

22. Where can I get more information?

This Notice is only a summary of relevant court documents. Visit www.AmeriSaveTCPAclaims.com to see complete copies of case-related documents. If you have further questions, you may:

o Call the toll free number: 1-833-440-0743 o Write to the Settlement Administrator:

AmeriSave TCPA Settlement Administrator

c/o Postlethwaite & Netterville P.O. Box 341

Baton Rouge, LA 70821

o If you wish to contact Class Counsel regarding the settlement, you may contact them directly as follows:

Todd M. Friedman, Esq. Adrian R. Bacon, Esq.

Law Offices of Todd M. Friedman, P.C. 21550 Oxnard Street, Suite 780

Woodland Hills, CA 91367 Tel.: (877)- 619-8966

23. May I contact the Court or Defendant directly?

Please do not contact the Court, Defendant or Defense Counsel regarding this settlement. They cannot provide you any advice.

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Exhibit4(Paper Claim Form)

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AmeriSave TCPA Settlement Administratorc/o Postlethwaite & NettervillePO Box 341Baton Rouge, LA 70821

CLAIMANTINFORMATION(PLEASEPRINT)

First Name

Last Name

Street Address

City State Zip Code

Current Email Address (If you provide a valid email address, you will receive an email to select your payment preference.)

‐ ‐

Claim ID Number, if available (provided on class notice) Cell Phone Number that received communication

/ /

YourClaimFormMustBeSubmittedOnOrBefore9/18/2020

To be included as part of the Settlement, you must be listed in our records as having received communications from AmeriSave on your cellular telephone. If you were mailed a postcard, you probably received these communications.

Formoreinformation,visitwww.AmeriSaveTCPAclaims.comorcall1‐833‐440‐0743.

Fabricantv.AmeriSaveMortgageCorporationNo. 19-cv-04569-AB-AS, (C.D. Cal.)

CERTIFICATION: By signing and submitting this Claim Form, I certify that I received a communication from AmeriSave on the above

cellular phone number between April 1, 2018 and Dec. 31, 2019, and I was the subscriber or user of the cellular phone number at the time of the communication.

ThisClaimFormmayberesearchedorverifiedbytheSettlementAdministrator.

SETTLEMENTCLAIMFORM

Signature:

?

Date:

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Exhibit5(CAFA Recipient List)

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Name Office Address 1 Address 2 Address 3 City State Zip Delivery DateKevin Clarkson Office of the Attorney General 1031 W. 4th Avenue, Suite 200 Anchorage AK 99501-1994 4/27/2020Steve Marshall Office of the Attorney General 501 Washington Avenue PO Box 300152 Montgomery AL 36104 4/24/2020Leslie Rutledge Office of the Attorney General 323 Center Street, Suite 200 Little Rock AR 72201-2610 4/27/2020Talauega Eleasalo V. Ale Office of the Attorney General PO Box 7 Pago Pago AS 96799 5/14/2020Mark Brnovich Office of the Attorney General 2005 N Central Ave Phoenix AZ 85004-2926 4/24/2020Xavier Becerra Office of the Attorney General CAFA Coordinator, Consumer Law Section 455 Golden Gate Avenue, Suite 11000 San Francisco CA 94102 4/27/2020Phil Weiser Office of the Attorney General Ralph L. Carr Colorado Judicial Center 1300 Broadway, 10th Floor Denver CO 80203 4/24/2020William Tong Office of the Attorney General 165 Capitol Avenue Hartford CT 06106 4/24/2020Karl Racine Office of the Attorney General 441 4th Street NW, Suite 1100S Washington DC 20001 4/27/2020William Barr United States Office of the Attorney General US Department of Justice 950 Pennsylvania Ave, NW Washington DC 20530-0001 4/27/2020Kathy Jennings Office of the Attorney General Carvel State Office Building 820 North French Street Wilmington DE 19801 4/24/2020Ashley Moody Office of the Attorney General The Capitol PL-01 Tallahassee FL 32399-1050 4/27/2020Chris Carr Office of the Attorney General 40 Capitol Square SW Atlanta GA 30334 4/27/2020Leevin Camacho Office of the Attorney General Administrative Division 590 S. Marine Corps Dr., Suite 901 Tamuning GU 96913 5/1/2020Clare Connors Department of the Attorney General 425 Queen Street Honolulu HI 96813 4/27/2020Tom Miller Office of the Attorney General Hoover State Office Building 1305 East Walnut Street Des Moines IA 50319 4/27/2020Lawrence Wasden Office of the Attorney General 700 W. Jefferson Street PO Box 83720 Boise ID 83720-0010 4/27/2020Kwame Raoul Office of the Attorney General 100 West Randolph Street Chicago IL 60601 4/30/2020Curtis Hill, JR. Office of the Attorney General Indiana Government Center South 302 West Washington Street, 5th Floor Indianapolis IN 46204 4/24/2020Derek Schmidt Office of the Attorney General 120 SW 10th Ave, 2nd Floor Topeka KS 66612-1597 4/25/2020Daniel Cameron Office of the Attorney General 700 Capitol Avenue, Suite 118 Frankfort KY 40601-3449 4/27/2020Jeff Landry Office of the Attorney General PO Box 94005 Baton Rouge LA 70804 5/6/2020Maura Healey Office of the Attorney General ATTN: CAFA Coordinator/General Counsel's Office One Ashburton Place Boston MA 02108 4/29/2020Brian Frosh Office of the Attorney General 200 St. Paul Place Baltimore MD 21202 4/24/2020Aaron Frey Office of the Attorney General 6 State House Station Augusta ME 04333 4/27/2020Dana Nessel Office of the Attorney General G. Mennen Williams Building 525 West Ottawa Street PO Box 30212 Lansing MI 48909 4/27/2020Keith Ellison Office of the Attorney General 445 Minnesota Street, Suite 1400 St Paul MN 55101-2131 4/24/2020Eric Schmitt Office of the Attorney General Supreme Court Building 207 West High Street Jefferson City MO 65102 4/27/2020Edward Manibusan Office of the Attorney General Administrative Building PO Box 10007 Saipan MP 96950 5/4/2020Lynn Fitch Office of the Attorney General Walter Sillers Building 550 High Street, Suite 11 Jackson MS 39201 4/27/2020Tim Fox Office of the Attorney General Justice Building Third Floor 215 North Sanders Helena MT 59601 4/27/2020Josh Stein Office of the Attorney General ATTN: Consumer Protection 114 West Edenton Street Raleigh NC 27603 4/24/2020Wayne Stenehjem Office of the Attorney General State Capitol 600 East Boulevard Avenue, Dept. 125 Bismarck ND 58505 4/27/2020Doug Peterson Office of the Attorney General 2115 State Capitol PO Box 98920 Lincoln NE 68509 4/27/2020Gordon MacDonald Office of the Attorney General 33 Capitol Street Concord NH 03301 4/27/2020Gurbir S. Grewal Office of the Attorney General RJ Hughes Justice Complex 25 Market Street PO BOX 080 Trenton NJ 08625-0080 4/27/2020Hector Balderas Office of the Attorney General ATTN: Farrah Diaz, Paralegal 201 3rd St NW, Suite 300 Albuquerque NM 87102 4/24/2020Aaron Ford Office of the Attorney General Old Supreme Court Building 100 North Carson Street Carson City NV 89701 4/24/2020Letitia James Office of the Attorney General Office of the Attorney General The Capitol Albany NY 12224-0341 4/24/2020Dave Yost Office of the Attorney General State Office Tower 30 East Broad Street, 14th Floor Columbus OH 43215 4/27/2020Mike Hunter Office of the Attorney General 313 NE 21st Street Oklahoma City OK 73105 4/27/2020Ellen Rosenblum Office of the Attorney General Oregon Department of Justice 1162 Court Street NE Salem OR 97301-4096 4/24/2020Josh Shapiro Office of the Attorney General 16th Floor, Strawberry Square Harrisburg PA 17120 4/27/2020Noemi Longo Quinones Dennise Office of the Attorney General PO Box 9020192 San Juan PR 00902-0192 5/12/2020Peter Neronha Office of the Attorney General ATTN: Lisa Pinsonneault/CAFA Notice 150 South Main Street Providence RI 02903 4/27/2020Alan Wilson Office of the Attorney General PO Box 11549 Columbia SC 29211-1549 4/27/2020Jason Ravnsborg Office of the Attorney General 1302 E. Highway 14, Suite 1 Pierre SD 57501-8501 4/27/2020Hebert Slatery III Office of the Attorney General and Reporter PO Box 20207 Nashville TN 37202 4/27/2020Ken Paxton Office of the Attorney General Capitol Station PO Box 12548 Austin TX 78711-2548 4/27/2020Sean Reyes Office of the Attorney General Utah State Capitol Complex 350 North State Street, Suite 230 Salt Lake City UT 84114-2320 5/4/2020Mark Herring Office of the Attorney General 202 North Ninth Street Richmond VA 23219 4/27/2020Denise George-Count Office of the Attorney General 34-38 Kronprindsens Gade Gers Building, 2nd Floor St Thomas VI 00802 4/27/2020TJ Donovan Office of the Attorney General 109 State Street Montpelier VT 05609 4/27/2020Bob Ferguson Office of the Attorney General 1125 Washington Street SE PO Box 40100 Olympia WA 98504-0100 4/25/2020Josh Kaul Office of the Attorney General Wisconsin Department of Justice PO Box 7857 Madison WI 53707-7857 4/24/2020Patrick Morrisey Office of the Attorney General State Capitol Building 1, Room E-26 Charleston WV 25305 4/27/2020Bridget Hill Office of the Attorney General Kendrick Building 2320 Capital Avenue Cheyenne WY 82002 4/27/2020

AmeriSave TCPA Settlement CAFA Notice Service List - Terry Fabricant v. AmeriSave Mortgage Corporation, No. 2:19-cv-04659-AB-AS

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Exhibit6(CAFA Cover Letter)

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8550 United Plaza Blvd., Ste. 1001 – Baton Rouge, LA 70809

225-922-4600 Office – 225-922-4611 Fax 225-408-4794 Direct – [email protected]

pncpa.com

Page 1 of 2

April 20, 2020

By Certified Mail

Federal and State Officials as listed in Attachment 1

Re: NOTICE UNDER THE CLASS ACTION FAIRNESS ACT OF 2005, 28 U.S.C. § 1715(b), Terry Fabricant, individually and on behalf of all others similarly situated, v. AmeriSave Mortgage Corporation Case No. 19-cv-04659-AB-AS (C.D. Cal.)

Dear Sir or Madam:

I send this letter and the enclosed disc to you on behalf of the Parties to the Action referenced above (the “Action”) regarding Plaintiff’s Notice of Motion & Motion For Preliminary Approval of Class Settlement and Certification of Settlement Class with AmeriSave Mortgage Corporation (“AmeriSave”) filed on February 7, 2020. This communication constitutes the notice required by the Class Action Fairness Act of 2005, 28 U.S.C. § 1715(b) (“CAFA”).

The proposed settlement resolves the class action lawsuit brought by Terry Fabricant (“Plaintiff”) against AmeriSave alleging that AmeriSave is liable under the Telephone Consumer Protection Act (“TCPA”), 47 U.S.C. § 227, by calling and/or sending text messages to the cellular telephones without obtaining “prior express consent,” using an “automatic telephone dialing system.” AmeriSave denies it violated the TCPA with any of its communications.

In accordance with 28 U.S.C. § 1715(b), the enclosed disc includes:

a. Exhibit 1: A copy of the Class Action Complaint filed on May 29, 2019;

b. Exhibit 2: A copy of the First Amended Complaint filed August 8, 2019;

c. Exhibit 3: A copy of the Second Amended Complaint filed February 24, 2020;

d. Exhibit 4: A copy of Plaintiff’s Motion for Preliminary Approval of Class Action Settlement with exhibits including Settlement Agreement and Release, and exhibits (including detailed and notice with exclusion rights) filed on February 7, 2020;

e. Exhibit 5: Per 28 U.S.C. § 1715(b)(7), a list of estimated class members by state and their estimated proportionate share of claims per state. The determination of each class member’s state is an estimation based on the available information using the area code of the phone number provided in the class data file. It is estimated that the cash award payment will total approximately $15.00 to $87.00 per valid claim, but, at this time, it is not feasible to calculate the exact cash award per class member. The final cash payment amounts will depend on the total number of valid and timely claims submitted by all class members.

As of April 20, 2020, a Final Approval Hearing in Courtroom 7D of the United States District Court for the Central District of California, the Honorable Andre’ Birotte Jr. presiding, located at 350 West First Street, 7th Floor, Los Angeles, California 90012 has not been scheduled but will be no sooner than October 8, 2020.

There are no other agreements between Class Counsel and counsel for Defendant, there are no final judgments in this matter, and there are no other written judicial opinions relating to the materials described under 28 U.S.C. §§ 1715(b)(3)-(6).

Case 2:19-cv-04659-AB-AS Document 48-3 Filed 08/31/20 Page 33 of 50 Page ID #:1016

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8550 United Plaza Blvd., Ste. 1001 – Baton Rouge, LA 70809

225-922-4600 Office – 225-922-4611 Fax 225-408-4794 Direct – [email protected]

pncpa.com

Page 2 of 2

Thank you for your attention to this matter. If you have any question about this notice or the enclosed materials, please contact us.

Sincerely,

Brandon Schwartz Postlethwaite & Netterville (Claims Administrator)

Enclosures

cc by email:

THE LAW OFFICES OF TODD M. FRIEDMAN, P.C. Todd M. Friedman Email: [email protected] Adrian R. Bacon Email: [email protected] 21550 Oxnard Sr. Suite 780 Woodland Hills, CA 91367 Telephone: 877-619-8966 Facsimile: 866-633-0228

Attorneys for Plaintiffs SNELL & WILMER, LLP Becca J. Wahlquist Email: [email protected] 350 South Grand Avenue, Suite 3100 Los Angeles, CA 90071 Telephone: 213-929-2544

Attorneys for Defendant AmeriSave Mortgage Corporation

Case 2:19-cv-04659-AB-AS Document 48-3 Filed 08/31/20 Page 34 of 50 Page ID #:1017

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Exhibit7(ExclusionRequests)

Case 2:19-cv-04659-AB-AS Document 48-3 Filed 08/31/20 Page 35 of 50 Page ID #:1018

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Count First Name Last NamePhone Number Where

Call Was PlacedContact Phone

Number Address 1 Address 2 City State Zip Email Address Certification NameFormat Received

Date Received

1 Tom Tracy (207) 357-9659 (207) 357-9659 1596 ROXBURY RD ROXBURY ME 04275 [email protected] Tom Tracy Online 6/22/20202 Peter Caruso (508) 577-0029 (508) 583-5323 15 THORNY LEA TERRACE BROCKTON MA 02301 [email protected] Peter Caruso Online 6/22/20203 Ronald Davis (770) 714-3533 (770) 714-3533 49 THORNHILL DRIVE BRASELTON GA 30517 [email protected] Ronald Davis Online 6/22/20204 Edward Bloomfield (774) 722-1522 (508) 246-1927 2091 MAIN STREET BREWSTER MA 02631-1819 Edward Bloomfield Online 6/22/20205 Megan Bloomfield (508) 241-1949 (774) 207-8075 2091 MAIN STREET BREWSTER MA 02631-1819 Megan Bloomfield Online 6/22/20206 Matthew Dow (508) 246-8715 (508) 246-8718 3 HARVEST LANE 15 HALIFAX MA 02338 [email protected] Matthew Dow Online 6/22/20207 Francis de St. Aubin (678) 488-6105 (678) 488-6105 201 SWANEE LANE WOODSTOCK GA 30188 [email protected] Francis De St. Aubin Online 6/22/20208 Andrew Burkholder (717) 847-7770 (717) 847-7770 1400 SEVEN VALLEYS RD YORK PA 17408 [email protected] Andrew Burkholder Online 6/22/20209 Patricia Clark (484) 343-7100 (484) 494-7742 925 CATHERINE AVE WOODLYN PA 19094 [email protected] Patricia A. Clark Online 6/22/2020

10 Eric Vanpelt (404) 281-9067 (678) 377-6837 351 BECKENHAM LN DACULA GA 30019-6742 [email protected] Eric Vanpelt Online 6/22/202011 Loren Zadecky (202) 489-9644 (202) 489-9644 180 OAK PARK PLACE PITTSBURGH PA 15243 Loren J Zadecky Online 6/23/202012 Patricia Tarantino (508) 989-6764 (508) 989-6764 212 OLD TAUNTON AVE NORTON MA 02766 [email protected] Patricia Tarantino Online 6/23/202013 Margaret Waltz (412) 759-0293 (412) 759-0293 558 WOOD STREET PITCAIRN PA 15140 [email protected] Margaret Waltz Online 6/23/202014 DEVI KC (859) 227-0145 (859) 227-0145 515 ESTRELLA DR LEXINGTON KY 40511-9190 [email protected] DEVI KC Online 6/23/202015 Alvin Weaver (717) 443-7117 (717) 269-8748 991 HOUTZTOWN RD MYERSTOWN PA 17067 [email protected] Alvin Weaver Online 6/23/202016 Shawn Martin (865) 824-8350 (865) 824-8350 1822 BLAKEMORE RD KNOXVILLE TN 37914 [email protected] Shawn Robert martin Online 6/23/202017 Aryana Sabinath (727) 645-8726 (727) 645-8726 5880 102ND AVE N PINELLAS PARK FL 33782-3217 [email protected] Aryana Sabinath Online 6/24/202018 Eddie Ackiss (757) 619-2065 (757) 721-6408 1984 PRINCESS ANNE RD VIRGINIA BEACH VA 23456 [email protected] Eddie Ackiss Online 6/24/202019 James Tyson (828) 553-8715 (828) 553-8715 97S COUNTRY CLUB RD BREVARD NC 28712 James Tyson Online 6/24/202020 AUN SENG (215) 715-8356 (215) 715-8356 179 N MAIN STREET MULLICA HILL NJ 08062 seng [email protected] AUN SENG Online 6/24/202021 Toby Simpson (205) 413-7550 (256) 997-3037 507 2ND ST NW FORT PAYNE AL 35967 Toby Simpson Online 6/25/202022 albert cortina (203) 767-0192 (203) 767-0192 65 LILAC LANE EASTON CT 06612 [email protected] albert cortina Online 6/25/202023 Ann Hines (614) 512-4630 (614) 512-4630 1377 WILD OATS DR COLUMBUS OH 43204 N/A Ann E Hines Online 6/27/202024 Carl Wannemacher (1701) 261-1324 (1701) 261-1324 46597 BENNY LN PERHAM MN 56573 [email protected] Carl Wannemacher Online 6/27/202025 adam hemmida (816) 517-0030 (308) 227-2346 910 N BOGGS AVE 311 GRAND ISLAND NE 68803 [email protected] adam hemmida Online 6/27/202026 Robert DeBock (773) 871-0028 (773) 892-6437 3751 N PULASKI RD. CHICAGO IL 60641-3136 [email protected] Robert DeBock Online 6/27/202027 stephanie higdon (618) 560-9913 (618) 560-9913 203 WILLIS ST. DE KALB MO 64440 [email protected] stephanie higdon Online 6/27/202028 James Cartwright (574) 904-6102 (574) 904-6102 59651 LOCUST RD SOUTH BEND IN 46614 James P Cartwright Online 6/27/202029 Barbara Ewer Jones (812) 325-4508 (812) 325-4508 PO BOX 343 MORGANTOWN IN 46160 [email protected] Barbara Ewer Jones Online 6/27/202030 Mary Augustyniak (404) 680-7833 (404) 680-7833 313 HAYDEN COURT STOCKBRIDGE GA 30281 [email protected] Mary Augustyniak Online 6/27/202031 Ernest Hale (770) 714-7908 (678) 504-5982 1805 ASHBOROUGH CIR SE APT F MARIETTA GA 30067 [email protected] Ernest Hale Online 6/27/202032 Luther Davis (919) 239-5609 (919) 480-9234 1414 GLENWOOD AVENUE RALEIGH NC 27605 [email protected] Luther Joshua Davis III Online 6/28/202033 Marcos Tijerina (956) 685-8915 (956) 685-8915 3101 KILGORE AVE 06 MCALLEN TX 78504 [email protected] Marcos Tijerina Online 6/29/202034 dennis doyle (908) 303-4053 (908) 329-4053 PO BOX 95 HAMPTON NJ 08827 [email protected] dennis j doyle Online 6/29/202035 Rich Sarsfield (302) 897-4706 (302) 479-7773 3341 ALTAMONT DRIVE WILMINGTON DE 19810 [email protected] Rich Sarsfield Online 6/29/202036 Miguel Rangel (773) 454-5454 (773) 454-5454 307 MICHELLE CT GLENN HEIGHT TX 75154 Miguel Rangel Online 6/29/202037 Dina Sanchez (505) 908-0875 (505) 379-1547 1833 WILDWOOD LANE SOUTHWEST ALBUQUERQUE NM 87105 [email protected] Dina Sanchez Online 6/29/202038 Muhammad Saqib (917) 238-7516 (917) 238-2748 7223 PAVILION DR HOUSTON TX 77083 [email protected] Muhammad Saqib Online 6/30/202039 Jessica Sergeant (737) 247-0447 (737) 247-0447 424 E SPRING VALLEY RD RICHARDSON TX 75081 [email protected] Jessica Sergeant Online 6/30/202040 Jonathan Belden (208) 964-2644 (1505) 450-2532 314 MANUEL SANCHEZ PL SW ALBUQUERQUE NM 87105 [email protected] Jonathan Belden Online 6/30/202041 Walter JOHNSON (213) 880-7508 (213) 880-7508 11028 S MANHATTAN PL LOS ANGELES CA 90047 [email protected] Walter JOHNSON Online 6/30/202042 Mark Wyman (337) 302-7827 (337) 302-7827 87 ARDELL RD. BRONXVILLE NY 10708 [email protected] Mark Wyman Online 6/30/202043 FRANK BEITER (915) 727-6766 (915) 727-6766 9613 GSCHWIND ST EL PASO TX 79924 [email protected] FRANK BEITER Online 6/30/202044 Clyde Gardner (512) 415-2664 (512) 267-6911 18911 VENTURE DRIVE POINT VENTURE TX 78645 [email protected] Clyde Thomas Gardner Online 6/30/202045 Paul Collum (770) 815-2269 (770) 815-2269 126 MAID MARIAN CIRCLE MURRAYVILLE GA 30564 [email protected] Paul Edward Collum Online 7/1/202046 Jay Long (419) 560-8834 (419) 560-8834 105 WINCHESTER ROAD WEST CALEDONIA OH 43314 [email protected] Jay Long Online 7/1/202047 Carla Ronan (317) 989-1215 (317) 989-1215 617 CANARY CREEK DRIVE FRANKLIN IN 46131 [email protected] Carla Ronan Online 7/1/202048 Louise Brough (832) 315-7751 (832) 315-7751 1635 BERNARD WAY HOUSTON TX 77058 Louise Brough Online 7/1/202049 Angela Garcia (702) 204-3540 (702) 409-2063 807 BARTONA STREET LAS VEGAS NV 89107 Angela Garcia Online 7/1/202050 Olena Gordiyenko (702) 624-2220 (702) 755-1599 9952 CORBRIDGE ST LAS VEGAS NV 89178 Olena Gordiyenko Online 7/2/202051 KamalF Al dawood (248) 662-8896 (248) 662-8896 3329 W DANBURY DR. CONDO PHOENIX AZ 85053 KamalF Online 7/2/202052 Anthony Gale (623) 687-1389 (623) 687-1389 10824 W EL CORTEZ PLACE PEORIA AZ 85383 [email protected] Anthony Gale Online 7/2/202053 Elaine Nelson (208) 217-3839 (208) 217-3839 3645 E. LACHLAN STREET MERIDIAN ID 83642 [email protected] Elaine Nelson Online 7/2/202054 Martha Rocha (928) 488-2007 (760) 618-2015 4633 W 19TH LN YUMA AZ 85364 [email protected] Martha Rocha Online 7/2/202055 Xuejun Zhang (214) 448-3318 (214) 448-3318 6833 FOREST HILLS DR. PLANO TX 75023 [email protected] XUEJUN ZHANG Online 7/3/202056 Roger McDermott (972) 897-6177 (214) 597-2158 940 OAKBROOK DR. WYLIE TX 75098 Roger Charles McDermott Online 7/3/202057 Daniel Glaeser (816) 215-8487 (816) 215-8487 8383 MAPLEWOOD LN. LENEXA KS 66215 [email protected] Daniel Glaeser Online 7/3/202058 Deidra McAfee (417) 437-6026 (417) 260-7130 1538 DENT COUNTY ROAD 2130 ROLLA MO 65401 [email protected] Deidra A McAfee Online 7/4/202059 Lacey Hochleutner (941) 545-0076 (941) 545-0076 935 PACIFIC HILLS POINT APT L105 COLORADO SPRINGS CO 80906 [email protected] Lacey Hochleutner Online 7/5/202060 Joann Rice (765) 418-1728 (765) 418-1728 1015 SOUTH 21ST STREET LAFAYETTE Joann rice Online 7/6/202061 Drew Jensen (435) 823-0705 (435) 823-0705 4730 WEST, 4250 NORTH ROOSEVELT UT 84066 [email protected] Drew A Jensen Online 7/6/202062 Hargis Miller (972) 896-8464 (972) 896-8464 455 HIGHLAND DR APT 4123 LEWISVILLE TX 75067 [email protected] Hargis Miller jr Online 7/6/202063 David Giannelli (203) 871-7196 (732) 738-7100 366 AYLESBURY CT KISSIMMEE FL 34758 [email protected] David Giannelli Online 7/6/202064 David Rainsberger (817) 925-9969 (817) 925-9969 1230 WOODED TRAIL HURST TX 76053 [email protected] David Duane Rainsberger Online 7/6/2020

AmeriSave TCPA Settlement Exclusion Requests (Online Form) - Terry Fabricant v. AmeriSave Mortgage Corporation, No. 2:19-cv-04659-AB-AS

Case 2:19-cv-04659-AB-AS Document 48-3 Filed 08/31/20 Page 36 of 50 Page ID #:1019

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Count First Name Last NamePhone Number Where

Call Was PlacedContact Phone

Number Address 1 Address 2 City State Zip Email Address Certification NameFormat Received

Date Received

AmeriSave TCPA Settlement Exclusion Requests (Online Form) - Terry Fabricant v. AmeriSave Mortgage Corporation, No. 2:19-cv-04659-AB-AS

65 Zahir Nuristani (619) 715-0286 (619) 715-0286 1647 GARYWOOD STREET EL CAJON CA 92021 [email protected] Zahir Nuristani Online 7/6/202066 Rosita Taguian (360) 627-1449 (360) 627-1449 5699 SPICE LN NE BREMERTON WA 98311 [email protected] Rosita Taguian Online 7/7/202067 Samuel Rosete (747) 229-7900 (747) 229-7900 11320 GOLETA ST LAKEVIEW TERRACE SYLMAR CA 91342 [email protected] samuel Rosete Online 7/7/202068 Tony Allen (805) 714-0630 (805) 714-0630 14080 CARRIAGE OAKS LANE AUBURN CA 95602 [email protected] Tony Allen Online 7/7/2020

69

Andrew Speese (808) 371-2050 (808) 778-6407 1105 LUNAANELA ST. 1105 LUNAANELA ST.

KAILUA HI 96734 [email protected] Andrew J Speese Online 7/7/2020

70 Darold Benjamin (360) 903-2646 (360) 903-2646 715 NORTH EAST 173RD AVENUE VANCOUVER WA 98684 [email protected] Darold Benjamin Online 7/7/202071 Deborah Wilson (1312) 885-6818 (1312) 885-6818 130 N. LONGAVE CHICAGO IL 60644 [email protected] Deborah Wilson Online 7/7/202072 Diane Lee (360) 754-6264 (360) 754-6264 3184 VISTA VERDE LN SW OLYMPIA WA 98512-1448 Diane Lee Online 7/7/202073 Tasha Carra (559) 269-9596 (559) 212-7416 11265 W. EVERGREEN LN HANFORD CA 93230 [email protected] Tasha Joyce Carra Online 7/8/202074 Vincenzo Esposito (702) 557-9175 (702) 557-9175 4430 POINT BREEZE DR NORTH LAS VEGAS NV 89031 Vincenzo esposito Online 7/8/202075 Enrique Hernandez (424) 240-3354 (424) 240-3354 12206 RAMONA AVE HAWTHORNE CA 90250 [email protected] Enrique Hernandez Online 7/8/202076 Elisabeth Winter (989) 225-2078 (616) 827-9371 5958 APPLEVIEW KENTWOOD MI 49508 [email protected] Elisabeth Winter Online 7/9/202077 Rashauna Larson (530) 320-2918 (530) 320-4589 4008 AQUARIUS BLVD NEWBERG OR 97132 Rashauna Larson Online 7/9/202078 Ginny Hobbs (801) 837-9735 (801) 837-9735 6077 BREEZE CIRCLE OGDEN UT 84403 Ginny Hobbs Online 7/10/202079 susan dyer (479) 689-9201 (479) 689-9201 1203 DEER TR CEDARVILLE AR 72932 [email protected] susan J dyer Online 7/10/202080 Doveline Borges (808) 754-0886 (808) 754-0886 91-212 KOANIMAKANI PL KAPOLEI HI 96707-2940 [email protected] Doveline F. K. N. Borges Online 7/10/202081 NICOLA GERBINO (732) 485-8784 (732) 485-8784 53 SWEET BRIAR DR CLARK NJ 07066 [email protected] NICOLA GERBINO Online 7/12/202082 Kathy Whitmore (509) 999-0956 (509) 999-0956 511E CHATTAROY RD COLBERT WA 99005 [email protected] Kathy Whitmore Online 7/13/202083 allison Mondragon (909) 273-9111 (909) 273-9111 9914 WEST LILAC RD. ESCONDIDO CA 92026 [email protected] Allison Mondragon Online 7/13/202084 Louis Costanza (1601) 551-6637 (1601) 551-6637 1094 PAGE DR MCCOMB MS 39648-9501 [email protected] Louis J Costanza Online 7/15/202085 Yosselin Guzman (781) 803-0947 (781) 803-0947 230 MERIDIAN ST 113 BOSTON MA 02128 Yosselin Guzman Online 7/15/202086 GEORGE LEE (770) 313-7910 (770) 313-7910 14350 CREEK CLUB DR ALPHARETTA GA 30004 [email protected] GEORGE P LEE Online 7/15/202087 Wesley PalmerLasky (808) 386-1845 (808) 386-1845 912 HILLWOOD AVE FALLS CHURCH VA 22042 [email protected] Wesley PalmerLasky Online 7/16/202088 Sunil Bhaskarla (301) 741-6148 (301) 741-6148 17405 MACDUFF AVE OLNEY MD 20832 [email protected] Sunil Kumar Bhaskarla Online 7/18/202089 Karen Slaughter (702) 374-2448 (702) 374-2448 8305 JO MARCY DR LAS VEGAS NV 89131 Karen Slaughter Online 7/19/202090 Sudhindra Patri (972) 849-9624 (972) 849-9624 1112 PEDERNALES TRAIL IRVING TX 75063 Sudhindra Patri Online 7/19/202091 cesar Pedrero (1210) 928-7059 (1210) 928-7059 24003 WELLAM CT SAN ANTONIO TX 78260 [email protected] Cesar Pedrero Online 7/21/202092 Nicole Newman (815) 671-7282 (815) 671-7282 214 CAMPBELL ST CENTRALIA MO 65240 [email protected] Nicole Newman Online 7/24/202093 Valerie Aguirre (917) 576-9405 (917) 576-9405 13 HAVEN WAY KEYPORT NJ 07735 [email protected] Valerie Aguirre Online 7/27/202094 George Gubko (910) 265-4833 (910) 265-4833 405 CANDLEWOOD DR. JACKSONVILLE NC 28540 [email protected] George Gubko Online 7/30/202095 Joshua Hudson (941) 421-8817 (941) 421-8817 12420 MUDDY CREEK LANE FORT MYERS FL 33913 Joshua David Hudson Online 7/31/202096 Deborah Solomon (978) 337-1458 (978) 337-1458 23 STONEGATE ROAD CHELMSFORD MA 01824 [email protected] Deborah Brotman Solomon Online 8/1/202097 Rosa Martinez (505) 320-1272 (505) 320-1272 5001 CAROLCRESTE DR FARMINGTON NM 87402 Rosa Martinez Online 8/9/202098 Thomas Mikesell (617) 777-0807 (617) 777-0807 1559 W. CESAR CHAVEZ LANE C109 BOISE ID 83706 [email protected] Thomas Dylan Mikesell Online 8/10/202099 Robert Pacheco (774) 644-1234 (813) 731-4877 11926 GREENCHOP PL RIVERVIEW FL 33579 [email protected] Robert Pacheco Online 8/10/2020

100 Jialong Wu (510) 409-0287 (510) 409-0287 1365 PINION HILLS DR CARSON CITY NV 89701 [email protected] JIALONG WU Online 8/10/2020101 Sherri Davis (404) 886-7389 (404) 886-7389 11079 TURNER RD HAMPTON GA 30228 [email protected] Sherri Davis Online 8/10/2020102 Dani Saltarelli (814) 619-6189 (814) 241-4281 219 SANKER STREET GALLITZIN PA 16641 [email protected] Dani Charles Saltarelli Online 8/13/2020103 David Peterson (503) 519-8528 (971) 347-8224 1 GENERAL DELIVERY N/A HILLSBORO OR 97123 [email protected] David L. Peterson Online 8/14/2020104 Amrin Habib (205) 427-2570 (205) 427-2570 8109 N. LAWN AVE KANSAS CITY MO 64119 [email protected] Amrin Habib Online 8/14/2020105 Yuki Yabushita (503) 358-7653 (503) 358-7653 21507 42ND AVE S E4 SEATAC WA 98198 yuki yabushita Online 8/16/2020106 April Fisher (360) 608-9158 (360) 608-9158 5609 SOUTHEAST LEXINGTON DRIVE HILLSBORO OR 97123 April Fisher Online 8/17/2020107 William Terry (360) 620-0775 (360) 620-0775 P.O. BOX 785 TRACYTON WA 98393-0785 [email protected] William F. Terry Online 8/21/2020108 William Terry (360) 373-3098 (360) 620-0775 P.O. BOX 785 TRACYTON WA 98393-0785 [email protected] William F. Terry Online 8/21/2020109 Ryan Penner (405) 201-1312 (405) 201-1312 16940 SW 29TH ST. EL RENO OK 73036 Ryan Penner Online 8/21/2020110 todd vandercreek (801) 661-8399 (801) 661-8399 2653 N 225 W SUNSET UT 84015 [email protected] todd vandercreek Online 8/23/2020111 Ricardo Robles (253) 398-5407 (209) 652-0561 3624 WHITEHAVEN AVE. CERES CA 95307 [email protected] Ricardo Robles Online 8/25/2020

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Terry Fabricant, individually and on behalf of all others similarly situated, v. AmeriSave Mortgage Corporation, Case No. 19-c-045659-AB-AS

OPT-OUT FORM

If you wish to exclude yourself (opt out) of the class action settlement in the above-referenced case, you must fill out this form and mail it to the Claims Administrator. It must be postmarked by September 30, 2020.

If you exclude yourself (opt out), you will not receive a monetary payment or other benefits from the settlement and you cannot object to the settlement. You will, however, maintain the right to sue AmeriSave Mortgage Corporation on your own individual claims, at your expense, regarding the claims being released in this settlement and you will not be legally bound by the settlement. For more information on opting out, please see questions 11 and 12 of the Long Form Notice, which can be accessed at www.AmeriSaveTCPAclaims.com. For more information regarding this action and settlement more generally, please visit the settlement website at www.AmeriSaveTCPAclaims.com.

You can opt out by mailing a completed-copy of this form to the Settlement Administrator at:

AmeriSave TCPA Settlement Administrator P.O. Box341

Baton Rouge, LA 70821

All Opt-Out Forms must be postmarked no later than September 30, 2020. Forms that are not timely submitted will not be considered.

Opt-Out Verification By submitting this Opt-Out Form via U.S. mail, I verify my desire to be excluded from the settlement in the case of Terry Fabricant, individually and on behalf of all others similarly situated v. AmeriSave Mortgage Corporation, Case No. 19-cv-046509-AB-AS. I acknowledge and understand that by opting out of the settlement, I will not receive monetary payment from the class fund and that I cannot object to the settlement.

Class Member Name:

Home Street Address:

City, State, and Zip Code:

Contact Phone Number:

Mobile Number contacted by AmeriSave (verification purposes only)

Email:

Date Signed:

Signature:

Dar Ku?

07- 227-93zu

FOR MORE INFORMATION, VISIT www.AmeriSaveTCPAclaims.com OR CALL 1-833-440-0743.

Case 2:19-cv-04659-AB-AS Document 48-3 Filed 08/31/20 Page 45 of 50 Page ID #:1028

Page 46: UNITED STATES DISTRICT COURT FOR THE CENTRAL DISTRICT … · 2020. 9. 2. · and update the contact information for the , ... AmeriSave Mortgage Corporation, Case No. 19-cv-04659-AB-AS,

i

I Terry Fabricant, individually and on behalf of all others similarly situated, v. AmeriSave

Mortgage Corporation, Case No. 19-c»-045659-4B-AS

I I

OPT-OUT FORM I

If you wish to exclude yourself ( opt out) of the class action settlement in the above-referenced case, you must fill out this form and mail it to the Claims Administrator. It must be postmarked. by September 30, 2020.

If you exclude yourself ( opt out), you will not receive a monetary payment lor other benefits from the settlement and you cannot object to the settlement. You will, however, maintain the right to sue AmeriSave Mortgage Corporation on your own individual claims, at your expense, regarding the claims being released in this settlement and you will not be legally bound by the settlement. For more information on opting out, please see questions 11 and 12 of the Long Form Notice, which can be accessed at www.AmeriSaveTCPAclaims.com. For more information regarding this action and settlement more generally, please visit the settlement website at www.AmeriSaveTCPAclaims.com. I

You can opt out by mailing a completed copy of this form to the Settlemen~ Administrator at: . I

- - -- I AmeriSave TCP A Settlement Administrator

P.O. Box341 Baton Rouge, LA 70821

I All Opt-Out Forms must be postmarked no later than September 30, 2020.

Forms that are not timely submitted will not be considered. I

Opt-Out Verification l I

By submitting this Opt-Out Form via U.S. mail, I verify my desire to be excluded from the settlement in the case I

of Terry Fabricant, individually and on behalf of all others similarly situated v. AmeriSave Mortgage Corporation, Case No. 19-cv-046509-AB-AS. I acknowledge and understand that by opting out of the settlement, I will not receive monetary payment from the class fund and that I cannot object to the settlement.

I

Class Member Name: loll El/isl I

Home Street Address: J2&] CBTMRls sf 1

city, state, and zip code: [leek.Lck OH £2e£- 2L33 (Iu- 213 -328 Contact Phone Number:

Mobile Number contacted by AmeriSave (verification purposes only)

Email:

Date Signed:

Signature:

I FOR MORE INFORMATION, VISIT www.AmeriSaveTCPAclaims.com OR CALL 1-833-440-0743.

Case 2:19-cv-04659-AB-AS Document 48-3 Filed 08/31/20 Page 46 of 50 Page ID #:1029

Page 47: UNITED STATES DISTRICT COURT FOR THE CENTRAL DISTRICT … · 2020. 9. 2. · and update the contact information for the , ... AmeriSave Mortgage Corporation, Case No. 19-cv-04659-AB-AS,

Opt-Out Verification

By submitting this Opt-Out Form via U.S. mail, I verify my desire to be excluded from the settlement in the case of Terry Fabricant, individually and on behalf of all others similarly situated • AmeriSave Mortgage Corporation, Case No. 19-cv-046509-AB-AS. I acknowledge and understand that by opting out of the settlement, I will not receive monetary payment from the class fund and that I cannot object to the settlement.

Class Member Name:

Home Street Address:

City, State, and Zip Code:

Contact Phone Number:

Mobile Number contacted by AmeriSave (verification purposes only)

Email:

Date Signed:

Signature:

14'7n3 - d77

FOR MORE INFORMATION, VISIT www.AmeriSaveTCPAclaims.com OR CALL 1-833-440-0743.

Case 2:19-cv-04659-AB-AS Document 48-3 Filed 08/31/20 Page 47 of 50 Page ID #:1030

Page 48: UNITED STATES DISTRICT COURT FOR THE CENTRAL DISTRICT … · 2020. 9. 2. · and update the contact information for the , ... AmeriSave Mortgage Corporation, Case No. 19-cv-04659-AB-AS,

Terry Fabricant, individually and on behalf of all others similarly situated, v. AmeriSave Mortgage Corporation, Case No.19-cv-045659-AB-AS

OPT-OUT FORM

If you wish to exclude yourself (opt out) of the class action settlement in the above-referenced case, you must fill out this form and mail it to the Claims Administrator. It must be postmarked by September 30, 2020.

If you exclude yourself (opt out), you will not receive a monetary payment or other benefits from the settlement and you cannot object to the settlement. You will, however, maintain the right to sue AmeriSave Mortgage Corporation on your own individual claims, at your expense, regarding the claims being released in this settlement and you will not be legally bound by the settlement. For more information on opting out, please see questions 11 and 12 of the Long Form Notice, which can be accessed at www.AmeriSaveTCPAclaims.com. For more information regarding this action and settlement more generally, please visit the settlement website at www .AmeriSaveTCPAclaims.com.

You can opt out by mailing a completed copy of this form to the Settlement Administrator at:

AmeriSave TCPA Settlement Administrator P.O. Box 341

Baton Rouge, LA 70821

All Opt-Out Forms must be postmarked no later than September 30,2020. Forms that are not timely submitted will not be considered.

Opt-Out Verification By submitting this Opt-Out Form via U.S. mail, I verify my desire to be excluded from the settlement in the case of Terry Fabricant, individually and on behalf of all others similarly situated v. AmeriSave Mortgage Corporation, Case No. 19-cv-046509-AB-AS. I acknowledge and understand that by opting out of the settlement, I will not receive monetary payment from the class fund and that I cannot object to the settlement.

Class Member Name:

Home Street Address:

City, State, and Zip Code:

Contact Phone Number:

Mobile Number contacted by AmeriSave (verification purposes only)

Email:

Date Signed:

Signature:

7/7/o2o

FOR MORE INFORMATION, VISIT www.AmeriSaveTCPAclaims.com OR CALL 1-833-440-0743.

Case 2:19-cv-04659-AB-AS Document 48-3 Filed 08/31/20 Page 48 of 50 Page ID #:1031

Page 49: UNITED STATES DISTRICT COURT FOR THE CENTRAL DISTRICT … · 2020. 9. 2. · and update the contact information for the , ... AmeriSave Mortgage Corporation, Case No. 19-cv-04659-AB-AS,

Terry Fabricant, individually and on behalf of all others similarly situated, v. AmeriSave Mortgage Corporation, Case No. 19-cv-045659-AB-AS

OPT-OUT FORM

If you wish to exclude yourself ( opt out) of the class action settlement in the above-referenced case, you must fill out this form and mail it to the Claims Administrator. It must be postmarked by September 30, 2020.

If you exclude yourself (opt out), you will not receive a monetary payment or other benefits from the settlement and you cannot object to the settlement. You will, however, maintain the right to sue AmeriSave Mortgage Corporation on your own individual claims, at your expense, regarding the claims being released in this settlement and you will not be legally bound by the settlement. For more information on opting out, please see questions 11 and 12 of the Long Form Notice, which can be accessed at www.AmeriSaveTCPAclaims.com. For more infonnation regarding this action and settlement more generally, please visit the settlement website at www.AmeriSaveTCP Aclaims.com.

You can opt out by mailing a completed copy of this fonn to the Settlement Administrator at:

AmeriSave TCP A Settlement Administrator P.O. Box341

Baton Rouge, LA 70821

All Opt-Out Forms must be postmarked no later than September 30, 2020. Fonns that are not timely submitted will not be considered.

Opt-Out Verification By submitting this Opt-Out Form via U.S. mail, I verify my desire to be excluded from the settlement in the case of Terry Fabricant, individually and on behalf of all others similarly situated v. AmeriSave Mortgage Corporation, Case No. 19-cv-046509-AB-AS. I acknowledge and understand that by opting out of the settlement, I will not receive monetary payment from the class fund and that I cannot object to the settlement.

Cass Member Nase: (/oL Jaso Home Street Address: 60X,

cs,state, azi» coae 4lL6Aly OK 7772/ Contact Phone Number: $0 6L.2 2z7

Mobile Number contacted by AmeriSave (verification purposes only)

Email:

Date Signed:

Signature:

$03 812 a&9 I

boar~fssfcoantess IS/z aloe.0omn

FOR MORE INFORMATION, VISITwww.AmeriSaveTCPAclaims.com OR CALL 1-833-440-0743.

Case 2:19-cv-04659-AB-AS Document 48-3 Filed 08/31/20 Page 49 of 50 Page ID #:1032

Page 50: UNITED STATES DISTRICT COURT FOR THE CENTRAL DISTRICT … · 2020. 9. 2. · and update the contact information for the , ... AmeriSave Mortgage Corporation, Case No. 19-cv-04659-AB-AS,

Terry Fabricant, individually and on behalf of all others similarly situated, v. AmeriSave Mortgage Corporation, Case No. 19-cv-045659-AB-AS

OPT-OUT FORM

If you wish to exclude yourself (opt out) of the class action settlement in the above-referenced case, you must fill out this form and mail it to the Claims Administrator. It must be postmarked by September 30, 2020.

If you exclude yourself ( opt out), you will not receive a monetary payment or other benefits from the settlement and you cannot object to the settlement. You will however, maintain the right to sue AmeriSave Mortgage Corporation on your own individual claims, at your expense, regarding the claims being released in this settlement and you will not be legally bound by the settlement. For more information on opting out, please see questions 11 and 12 of the Long Form Notice, which can be accessed at www.AmeriSaveTCPAclaims.com. For more information regarding this action and settlement more generally, please visit the settlement website at www.AmeriSaveTCPAclaims.com.

' You can opt out by mailing a completed copy of this form to the Settlement, Administrator at:

AmeriSave TCP A Settlement Administrator P.O. Box 341

Baton Rouge, LA 70821 '

All Opt-Out Forms must be postmarked no later than September 30, 2020. Forms that are not timely submitted will not be considered.

' Opt-Out Verification

By submitting this Opt-Out Form via U.S. mail, I verify my desire to be excluded from the settlement in the case of Terry Fabricant, individually and on behalf of all others similarly situated v. AmeriSave Mortgage Corporation, Case No. 19-cv-046509-AB-AS. I acknowledge and understand that by opting out of the settlement, I will not receive monetary payment from the class fund and that I cannot object to the settlement.

I

I '

Class Member Name:

Home Street Address:

City, State, and Zip Code:

Contact Phone Number:

Mobile Number contacted by AmeriSave (verification purposes only)

Email:

Date Signed:

Signature:

VA@UAS Sa£Cs -«;

Ca&io?-o , (4 380% oo\-)1- So8

VgUnS_SL&ln@ V4Ho-(t0 I

6(23]o20 ]

I FOR MORE INFORMATION, VISIT www.AmeriSaveTCPAclaims.com OR CALL 1-833-440-0743.

I I

Case 2:19-cv-04659-AB-AS Document 48-3 Filed 08/31/20 Page 50 of 50 Page ID #:1033