DC BK09166 PG272
CAUSENO, D-1-GN-08-004057
GRIGSBY MASTER PARTNERS,
GP, RICHARD L. MATZ,4R, IN THE DISTRICT COURT
BRIAN GRIGSBY, HARRY
MILLER, H. JASON AND DANA A. rote oat court
HARRISON, JEFF PENNELL, 4
MIKE WILSON, INDIVIDUALLY JUN 1 1 2009, AMC.
AND ON BEHALF OF SOS GPS
M.
TRAC HOLDINGS, L.L.C., ‘Amalia Roatigueztlende%p, Clerk
Plaintiffs,
v. 419TH JUDICIAL DISTRICT
SOS GPS TRAC HOLDINGS, L.L.C.,
SATELLITE ONBOARD SYSTEMS,
INC., JOHN MADSEN, MICHAEL
COKER AND JMMC HOLDINGS,
LLC,
Defendants.
(2 cP 1 LO DDL PP PE LD
OF TRAVIS COUNTY, TEXAS
AGREED ORDER GRANTING PLAINTIFFS’ MOTION FOR CONTEMPT
‘On May 15 2009, came on to be heard Plaintiffs’ Motion for Contempt (the “Motion”)
and Plaintiffs and Defendants reached an agreement to avoid a hearing on the Motion, which was
read into the record and accepted by the Court as its Order. Consistent with that Order, it is
therefore ORDERED, ADJUDGED AND DECREED «s follows:
1. Defendants shall pay Plaintiffs Fifty Thousand Dollars and No Cents ($50,000.00) in
cash ot by cashier’s check pursuant to the parties’ settlement agreement by Thursday,
May 21, 2009 and shall have such payment hand delivered to Plaintiffs" Counsel's
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office;DC BK09166 PG273
2. Defendants shall pay Plaintiffs the remaining settlement monies due and owing to
Plaintiffs under the parties’ settlement agreement in cash or by cashier's check by
Tune 5, 2009; and
3. In the event Defendants fail to comply with their obligations under either provisions 1
or 2 above, upon such failure to comply Defendants shall immediately: (i) serve on
Plaintiffs’ Counsel, Defendants’ answers, responses and all responsive documents
responsive to all outstanding written discovery in a manner consistent with the
previously entered Agreed Order by the Hon. Stephen Yelenosky on or about April 4,
2009; (ii) provide Plaintiffs? Counsel with at least with 3 dates in June 2009 (each
date to be at least 7 days after Defendants produce all discovery items required
herein) upon which each Defendant will make himself or its corporate representative
available for deposition in Austin, Texas (in the event Plaintiffs’ counsel is
‘unavailable on the dates provided, each Defendant shall make himselffitself available
for deposition at a mutually agreeable date before the end of July 2009); and (iii) pay
sanctions in the agreed amount of $6,000.00 by cash or cashier's check hand
dclivered to Plaintiffs’ Counsel's office within 24 hours of Defendants’ failure to
comply with provisions 1 or 2 above (all Defendants shall be jointly and severally
liable for the for the payment of this agreed sanction).
2.DC BK09166 PG274
IT IS FURTHER ORDERED that Plaintiffs may also file any additional motion(s) or seek.
further relief to the extent necessary to effectuate the terms of this Order and as deemed necessary to
do justice.
SIGNED ot
THE — HONORABL
RHONDA HURLEY
ND SUBSTANCE:
Ayotney for Plaintitis
William C. Davidson
Attorney for Defendants