(a)
|
PG&E Corporation and Pacific Gas and Electric Company, as debtors and debtors in possession (collectively, the “Debtors”);
|
|
(b)
|
the Official Committee of Tort Claimants (the “TCC”) appointed in the Debtors’ Chapter 11 Cases (as defined herein);
|
|
(c)
|
the attorneys and other advisors and agents for holders of Fire Victim Claims (as defined in the Term Sheet) that are signatories to this Agreement (each a “Consenting
Fire Claimant Professional”); and
|
|
(d)
|
certain funds and accounts managed or advised by Abrams Capital Management, LP and certain funds and accounts managed or advised by Knighthead Capital Management, LLC (each a “Shareholder Proponent”).
|
(a) |
If to the Debtors, to:
|
(b) |
If to the Shareholder Proponents, to:
|
(c) |
If to the TCC, to:
|
(d) |
If to a Consenting Fire Claimant, to the address listed on the signature page for the applicable Consenting Fire Claimant Professional.
|
DEBTORS | ||||
PG&E CORPORATION |
||||
|
By:
|
/s/ Janet C. Loduca | ||
Name: | Janet C. Loduca |
|||
Title: | Senior Vice President, General Counsel |
|||
PACIFIC GAS AND ELECTRIC COMPANY |
||||
|
By:
|
/s/ Janet C. Loduca | ||
Name: | Janet C. Loduca | |||
Title: | Senior Vice President, General Counsel | |||
TCC
|
|||
By:
|
/s/ Cecily A. Dumas | ||
Name: |
Cecily A. Dumas | ||
Firm: |
Baker & Hostetler LLP
|
||
Attorneys for TCC
|
TCC Member
|
|||
Michael Carlson
|
|||
By:
|
/s/ Brendan M. Kunkle | ||
Name: |
Brendan M. Kunkle |
||
Firm: |
Abbey, Weitzenberg, Warren & Emery
|
||
Attorneys for TCC Member
|
TCC Member
|
|||
Karen Lockhart
|
|||
By:
|
/s/ Steven M. Campora | ||
Name: |
Steven M. Campora |
||
Firm: |
Dreyer, Babich, Buccola, Wood, Campora LLP
|
||
Attorneys for TCC Member
|
TCC Member
|
|||
Samuel Maxwell
|
|||
By:
|
/s/ W. Gordon Kaupp | ||
Name: |
W. Gordon Kaupp |
||
Firm: |
Kaupp & Feinberg, LLP
|
||
Attorneys for TCC Member
|
TCC Member
|
|||
Susan Slocum
|
|||
By:
|
/s/ Mary E. Alexander | ||
Name: |
Mary E. Alexander |
||
Firm: |
Mary Alexander & Associates, P.C.
|
||
Attorneys for TCC Member
|
TCC Member
|
|||
Kirt Trostle
|
|||
By:
|
/s/ Tom Tosdal |
||
Name: |
Tom Tosdal |
||
Firm: |
Tosdal Law Firm
|
||
Attorneys for TCC Member
|
TCC Member
|
|||
Tommy Wehe
|
|||
By:
|
/s/ Steven J. Skikos | ||
Name: |
Steven J. Skikos |
||
Firm: |
Skikos, Crawford, Skikos & Joseph, LLP
|
||
Attorneys for TCC Member
|
TCC Member
|
|||
Gregory Wilson
|
|||
By:
|
/s/ Frank M. Pitre | ||
Name: |
Frank M. Pitre |
||
Firm: |
Cotchett, Pitre & McCarthy, LLP
|
||
Attorneys for TCC Member
|
CONSENTING FIRE CLAIMANT PROFESSIONAL
|
|||
By:
|
/s/ Brendan M. Kunkle | ||
Name: |
Brendan M. Kunkle |
||
Firm: |
Abbey, Weitzenberg, Warren & Emery
|
||
Attorneys for Holders of Fire Victim Claims
|
CONSENTING FIRE CLAIMANT PROFESSIONAL
|
||||
ADLER LAW GROUP, APLC |
||||
By:
|
/s/ Elliot Adler | |||
Name: |
Elliot Adler | |||
Attorney for Holders of Fire Victim Claims |
CONSENTING FIRE CLAIMANT PROFESSIONAL
|
||||
FRANTZ LAW GROUP, APLC |
||||
By:
|
/s/ James P. Frantz |
|||
Name: |
James P. Frantz | |||
Attorney for Holders of Fire Victim Claims |
BRIDGFORD GLEASON & ARTINIAN
|
||||
By:
|
/s/ Richard Bridgford |
|||
Name: |
Richard Bridgford | |||
Attorney for Holders of Fire Victim Claims |
MCNICHOLAS & MCNICHOLAS
|
||||
By:
|
/s/ Patrick McNicholas |
|||
Name: |
Patrick McNicholas | |||
Attorney for Holders of Fire Victim Claims |
CONSENTING FIRE CLAIMANT PROFESSIONAL
|
|||
By:
|
/s/ Steven M. Campora |
||
Name: |
Steven M. Campora | ||
Firm: |
Dreyer, Babich, Buccola, Wood, Campora LLP
|
||
Attorneys for Holders of Fire Victim Claims
|
CONSENTING FIRE CLAIMANT PROFESSIONAL
|
||||
COREY, LUZAICH, DE GHETALDI & RIDDLE LLP | ||||
By:
|
/s/ Dario de Ghetaldi | |||
Name: |
Dario de Ghetaldi |
|||
Amanda L. Riddle |
||||
Attorneys for Holders of Fire Victim Claims |
DANKO MEREDITH, TRIAL LAWYERS | ||||
By:
|
/s/ Michael S. Danko | |||
Name: |
Michael S. Danko
Kristine K. Meredith
|
|||
Attorneys for Holders of Fire Victim Claims |
GIBBS LAW GROUP LLP | ||||
By:
|
/s/ Eric Gibbs | |||
Name: |
Eric Gibbs
Dylan Hughes
|
|||
Attorneys for Holders of Fire Victim Claims |
CONSENTING FIRE CLAIMANT PROFESSIONAL
|
||||
COTCHETT, PITRE & MCCARTHY, LLP |
||||
By:
|
/s/ Frank M. Pitre |
|||
Name: |
Frank M. Pitre | |||
Attorney for Holders of Fire Victim Claims |
CONSENTING FIRE CLAIMANT PROFESSIONAL
|
||||
By:
|
/s/ Gerald Singleton |
|||
Name:
Firm:
|
Gerald Singleton
Singleton Law Firm, APC
|
|||
Attorneys for Fire Victim Claimants |
CONSENTING FIRE CLAIMANT PROFESSIONAL
|
|||
By:
|
/s/ Steven J. Skikos |
||
Name: |
Steven J. Skikos | ||
Firm: |
Skikos, Crawford, Skikos & Joseph, LLP
|
||
Attorneys for Holders of Fire Victim Claims
|
CONSENTING FIRE CLAIMANT PROFESSIONAL
|
|||
By:
|
/s/ Tom Tosdal |
||
Name: |
Tom Tosdal | ||
Firm: |
Tosdal Law Firm
|
||
Attorneys for Holders of Fire Victim Claims
|
CONSENTING FIRE CLAIMANT PROFESSIONAL
|
||||
WALKUP, MELODIA, KELLY & SCHOENBERGER |
||||
By:
|
/s/ Khaldoun A. Baghdadi |
|||
Name: |
Khaldoun A. Baghdadi
Michael A. Kelly
|
|||
Attorneys for Holders of Fire Victim Claims |
CONSENTING FIRE CLAIMANT PROFESSIONAL
|
|||
By:
|
/s/ Mikal Watts | ||
Name: |
Mikal Watts |
||
Firm: |
Watts Guerra LLP
|
||
|
SHAREHOLDER PROPONENT
|
||||
By: |
Abrams Capital Management, L.P. on behalf of certain funds and accounts it manages or advises |
|||
By: Abrams Capital Management, LLC, its General Partner | ||||
Signature:
|
/s/ David Abrams | |||
Name: |
David Abrams |
|||
Title: |
Managing Member |
SHAREHOLDER PROPONENT
|
||||
By: |
Knighthead Capital Management, LLC
on behalf of certain funds and accounts it manages or advises
|
|||
Signature:
|
/s/ Thomas A. Wagner | |||
Name: |
Thomas A. Wagner |
Article I - Definitions
|
Aggregate Fire Victim Consideration means the aggregate consideration used to fund the Fire Victim Trust of (a) $5.41 billion in cash contributed on the Effective Date, (b) $1.35 billion in cash payable through (i) $650 million paid in cash on January 15, 2021 pursuant to a Tax Benefit Payment Agreement, and
(ii) $700 million paid in cash on January 15, 2022 pursuant to a Tax Benefits Payment Agreement; (c) $6.75 billion in New HoldCo Common Stock (at Fire Victim Equity Value), which shall not be less than 20.9% of the New HoldCo Common Stock
assuming the Utility’s allowed return on equity as of the date of this Term Sheet; (d) the assignment by the Debtors and Reorganized Debtors to the Fire Victim Trust of the Assigned Rights and Causes of Action; and (e) assignment of
rights under the 2015 and 2016 insurance policies to resolve any claims related to Fires in those policy years. The Aggregate Fire Victim Consideration shall not include any amounts for the Public Entity Settlement which shall be
satisfied from other plan financing sources but not the Aggregate Fire Victim Consideration.
|
Assigned Rights and Causes of Action means any and all rights, claims, causes of action, and defenses related thereto relating directly or indirectly to any of
the Fires that the Debtors may have against vendors, suppliers, third party contractors and consultants (including those who provided services regarding the Debtors’ electrical system, system equipment, inspection and maintenance of the
system, and vegetation management), former directors and officers of the Debtors solely to the extent of any directors and officers Side B insurance coverage, and others as mutually agreed upon by the Plan Proponents and identified in the
Schedule of Assigned Rights and Causes of Action.
|
|
Fires means the fires that occurred in Northern California, listed on Exhibit A annexed hereto.
|
|
Fire Claim means any Claim against the Debtors in any way arising out of the Fires, including, but not limited to, any Claim resulting from the Fires for (a)
general and/or specific damages, including any Claim for personal injury, wrongful death, emotional distress and similar claims, pavement fatigue, damage to culverts, ecosystem service losses, municipal budget adjustments/reallocation,
lost revenue and tax impacts, local share of reimbursed fire clean-up costs, future estimated infrastructure costs, water service losses, lost landfill capacity, costs related to
|
|
unmet housing (e.g., housing market impact due to the Fires and adjustments for increased homeless population), and/or hazard mitigation costs (including, watershed restoration and hazardous tree removal expenses); (b) damages for repair, depreciation and/or replacement of damaged, destroyed, and/or lost personal and/or real property; (c) damages for loss of the use, benefit, goodwill, and enjoyment of real and/or personal property; (d) damages for loss of wages, earning capacity and/or business profits and/or any related displacement expenses; (e) economic losses; (f) damages for wrongful injuries to timber, trees, or underwood under California Civil Code § 3346; (g) damages for injuries to trees under California Code of Civil Procedure § 733; (h) punitive and exemplary damages under California Civil Code §§ 733 and 3294, California Public Utilities Code § 2106, or otherwise, (i) restitution; (j) fines or penalties; (k) any and all costs of suit, including all attorneys’ fees and expenses, expert fees, and related costs, including all attorneys and other fees under any theory of inverse condemnation; (l) for prejudgment and/or postpetition interest; (m) other litigation costs stemming from the Fires; and (n) declaratory and/or injunctive relief. For avoidance of doubt and without prejudice to the Debtors’ right to object to any such Claim, “Fire Claim” shall not include any (y) Claim for substantial contribution under section 503(b) of the Bankruptcy Code, or (z) any Subordinated Debt Claim and HoldCo Common Interest. The Fire Claims shall not include claims arising from the Kincade Fire or any fire other than the fires included on Exhibit A (including, without limitation, any postpetition fire). |
|
|
|
Fire Victim Claim means any Fire Claim that is not a Public Entities Wildfire Claim or a Subrogation Wildfire Claim. |
Fire Victim Equity Value means 14.9 multiplied by the Normalized Estimated Net Income as of the date to be agreed upon. | |
Fire Victim Trust means one or more trusts established on the Effective Date to administer, process, settle, resolve, satisfy, and pay Fire Victim Claims. | |
HoldCo Fire Victim Claim means any Fire Victim Claim against HoldCo. | |
Normalized Estimated Net Income shall mean, in each case with respect to the estimated year 2021, (a) on a component by-component basis (e.g., distribution, generation, gas transmission and storage, and electrical transmission), the sum of (i) the |
Utility's estimated earning rate base for such component, times (ii) the equity percentage of the Utility's authorized capital structure, times (iii) the Utility's
authorized rate of return on equity for such component, less (b) the projected post-tax difference in interest expense or preferred dividends for the entire company and the authorized interest
expense or preferred dividends expected to be collected in rates based on the capital structure in the approved Plan, if any, less (c) the amount of the Utility’s post-tax annual contribution to
the Go-Forward Wildfire Fund.
|
|
Plan Proponents means the Debtors, certain funds and accounts managed or advised by Abrams Capital Management, LP, and certain funds and accounts managed or
advised by Knighthead Capital Management, LLC.
|
|
Requisite Consenting Fire Claimant Professionals has the meaning set forth in the RSA.
|
|
Tax Benefits mean the difference between the income taxes actually paid by the Reorganized Utility and the income taxes that the Reorganized Utility would have
paid to the taxing authorities for such taxable year absent the net operating losses of the Utility and any deductions arising from the payment of Fire Victim Claims and Subrogation Claims.
|
|
Tax Benefits Payment Agreement means an agreement between the Reorganized Utility and the Fire Victim Trust pursuant to which the Reorganized Utility agrees (a)
to pay to the Fire Victim Trust an amount of cash equal to (i) up to $650 million of Tax Benefits for fiscal year 2020 to be paid on January 15, 2021 (the “First Payment Date”);
and (ii) up to $700 million of Tax Benefits for fiscal year 2021 to be paid on or before January 15, 2022 (the “Final Payment Date”) plus the amount of any shortfall of the
payments owed on the First Payment Date and the Final Payment Date so that on the Final Payment Date, the Fire Victim Trust shall have received payments under the Tax Benefits Payment Agreement in an aggregate cash amount of $1.350
billion from Tax Benefits or draws upon letters of credit under the terms of this definition or otherwise; (b) in the event that Tax Benefits in fiscal year 2020 exceed $650 million, the Reorganized Utility shall use such excess Tax
Benefits to prepay, on or before the First Payment Date the amount of Tax Benefits to be paid for fiscal year 2021; (c) in the event that payments from the Tax Benefits Payment Agreement received on or before the First Payment Date are
less than $650 million for any reason (a “First Payment Shortfall”), the Reorganized Utility shall deliver to the Fire Victim Trust an unconditional, standby letter of credit,
payable at
|
sight (with no approval or confirmation from the Reorganized Utility or other drawing conditions) and otherwise in form and substance satisfactory to the Fire Victim Trustee, naming the Fire Victim Trust as
beneficiary the (“LOC”), from an institution acceptable to the Fire Victim Trust within fifteen (15) business days of the First Payment Date (the “LOC Issuance Date”) in an amount to cover such First Payment Shortfall, which may be presented to the issuing bank for payment to the Fire Victim Trust on February 9, 2022 to the extent that any amounts
remain owing to the Fire Victim Trust under the Tax Benefits Payment Agreement on that date; (d) if the Reorganized Utility has not delivered such letter of credit within ten (10) days of the LOC Issuance Date, then the Fire Victim Trust
shall have the right to file a stipulated judgment against the Reorganized Utility in the amount of the First Payment Shortfall based on a declaration by the Fire Victim Trustee of the Reorganized Utility’s failure to comply with this
requirement of the Tax Benefits Payment Agreement; (e) in the event that payments from the Tax Benefit Payment Agreement and LOC received on or before the Final Payment Date are less than $1.350 billion for any reason (a “Final Payment Shortfall”) then on February 9, 2022, the Fire Victim Trust shall have the right to file a stipulated judgment against the Reorganized Utility in the amount of the
Final Payment Shortfall based on a declaration by the Fire Victim Trustee of the Reorganized Utility’s failure to comply with this requirement of the Tax Benefits Payment Agreement; (f) in the event there is a change of control as defined
within the meaning of Section of 382 of the Internal Revenue Code after and other than as a result of the occurrence of the Effective Date, if any, all such payments provided for in (a)(i) and (ii) shall become automatically due and
payable within fifteen days of such change in control (and the letter of credit, if issued, may be drawn); and (g) in the event that the Reorganized Utility obtains financing that monetizes or is otherwise secured by the Tax Benefits, the
Reorganized Utility shall use the first $1.350 billion in proceeds of such financing to make all payments in (a)(i) and (ii) above to the Fire Victim Trust on January 15, 2021.
|
|
Utility Fire Victim Claim means any Fire Victim Claim against the Utility.
|
|
Article III – Classification of Claims and Interests
|
Class 8A – HoldCo Fire Victim Claims
|
(a) Treatment: On the Effective Date, all HoldCo Fire Victim Claims shall be deemed satisfied, settled, released and discharged through the treatment provided to Utility Fire Victim Claims.
|
Pursuant to the Channeling Injunction, each holder of a HoldCo Fire Victim Claim shall have its Claim permanently channeled to the Fire Victim Trust, and such Claim shall be asserted exclusively against the
Fire Victim Trust in accordance with its terms, with no recourse to the Debtors, the Reorganized Debtors, or their respective assets and properties.
|
|
(b) Impairment and Voting: The HoldCo Fire Victim Claims are Impaired, and holders of HoldCo Fire Victim Claims are entitled to vote to accept or reject the Plan.
|
|
Class 11B – Utility Fire Victim Claims
|
|
(a) Treatment: In accordance with the requirements of section 3292 of the Wildfire Legislation (A.B. 1054), on the Effective Date or as soon as reasonably practicable thereafter, the
Reorganized Debtors shall establish and fund the Fire Victim Trust with the Aggregate Fire Victim Consideration. Utility Fire Victim Claims shall be satisfied solely from the Fire Victim Trust.
|
|
(b) Funding of the Fire Victim Trust as provided above shall be in full and final satisfaction, release, and discharge of all Utility Fire Victim Claims. Each holder of a Utility Fire Victim Claim
shall receive payment as determined in accordance with the Fire Victim Claims Resolution Procedures.
|
|
(c) On the Effective Date, the Debtors’ liability for all Utility Fire Victim Claims shall be fully assumed by, and be the sole responsibility of the Fire Victim Trust, and all such Claims shall be
satisfied solely from the assets of the Fire Victim Trust. Pursuant to the Channeling Injunction, each holder of a Utility Fire Victim Claim shall have its Claim permanently channeled to the Fire Victim Trust, and such Claim shall be
asserted exclusively against the Fire Victim Trust in accordance with its terms, with no recourse to the Debtors, the Reorganized Debtors, or their respective assets and properties.
|
|
(d) Impairment and Voting: The Utility Fire Victim Claims are Impaired, and holders of Utility Fire Victim Claims are entitled to vote to accept or reject the Plan.
|
|
Execution of the Plan
|
6.6 The Fire Victim Trust
|
(a) On or before the Effective Date, the Fire Victim Trust shall be established. In accordance with the Plan, the Confirmation Order, the Fire Victim Trust Agreement and the Fire Victim
|
Claims Resolution Procedures, the Fire Victim Trust shall administer, process, settle, resolve, liquidate, satisfy, and pay all Fire Victim Claims. All Fire Victim Claims shall be channeled to the Fire
Victim Trust and shall be subject to the Channeling Injunction. The Fire Victim Trust shall be funded with the Aggregate Fire Victim Consideration. The Fire Victim Trust Agreement shall provide that the Fire Victim Trust shall receive a
credit against any Fire Victim Claim for the amount that any holder of such Fire Victim Claim, its predecessor, successor, or assignee received or shall receive from any insurance company under and pursuant to the terms and coverage
provisions of any insurance policy for losses resulting from a Fire and that any funds received by any holder of Fire Victim Claim, net of attorney’s fees, shall satisfy, to the extent applicable, any amounts of restitution the Debtors or
Reorganized Debtors might be subject to under Cal. Penal Code § 1202.4.
|
|
(b) Each trust comprising the Fire Victim Trust is intended to be treated, and shall be reported, as a “qualified settlement fund” for U.S. federal income tax purposes and shall be treated
consistently for state and local tax purposes, to the extent applicable; provided, however, that the Reorganized Debtors may elect to treat any trust comprising the Fire Victim Trust as a “grantor trust” for U.S. federal income tax
purposes, in which case each such trust shall be treated consistently for state and local tax purposes, to the extent applicable. The Fire Victim Trustee and all holders of Fire Victim Claims shall report consistently with the
foregoing. The Fire Victim Trustee shall be the “administrator,” within the meaning of Treasury Regulations Section 1.468B-2(k)(3), of the Fire Victim Trust and, in such capacity, the Fire Victim Trustee shall be responsible for filing
all tax returns of the Fire Victim Trust and, out of the assets of the Fire Victim Trust, the payment of any taxes due with respect to trust assets or otherwise imposed on the Fire Victim Trust (including any tax liability arising in
connection with the distribution of trust assets), shall be permitted to sell any assets of the Fire Victim Trust to the extent necessary to satisfy such tax liability (including any tax liability arising in connection with such sale).
|
|
Fire Victim Trustee
|
|
(a) Powers and Duties of Trustee. The powers and duties of the Fire Victim Trustee shall include, but shall not be limited to, those responsibilities vested in the Fire Victim Trustee pursuant to
the terms of the Fire Victim Trust Agreement, or as may be otherwise necessary and proper to (i) make distributions to holders
|
of Fire Victim Claims in accordance with the terms of the Plan and the Fire Victim Trust Agreement and (ii) carry out the provisions of the Plan relating to the Fire Victim Trust and the Fire Victim Claims.
The Fire Victim Trustee shall maintain good and sufficient books and records relating to each Fire Victim Claim, including the identity of the owner of each Fire Victim Claim and the amount and date of all Distributions made on account of
each such Fire Victim Claim.
|
|
(b) The Fire Victim Trustee shall cooperate fully with the Reorganized Debtors in connection with the preparation and filing by the Reorganized Debtors of any tax returns, claims for refunds, or
other tax filings, and any tax proceedings, to the extent relating to any transfers to, distributions by, or the operations of the Fire Victim Trust.
|
|
(c) The Fire Victim Trustee may request an expedited determination of taxes under section 505(b) of the Bankruptcy Code for all tax returns filed by or on behalf of the Fire Victim Trust through the
termination of the Fire Victim Trust.
|
|
Release Amendments:
|
None of the releases or exculpation provisions in the Amended Plan shall release any party for which a claim or cause of action is assigned to the Fire Victims Trust.
|
Conditions to Effectiveness:
|
The Confirmation Order, in form and substance reasonably acceptable to the Plan Proponents and the Requisite Consenting Fire Claimant Professionals, shall have been entered by the Bankruptcy Court no later
than the June 30, 2020 date set forth in section 3292(b) of the Wildfire Legislation (A.B. 1054) or any extension of such date;
|
All definitive documents relating to the Plan, capitalization, equity and debt financing shall be in form and substance reasonably acceptable to the Plan Proponents and the Requisite Consenting Fire Claimant
Professionals;
|
|
No parties other than holders of Fire Victim Claims shall have a right, or involvement in, the Fire Victim Claim Resolution Procedures, the Fire Victim Trust Agreement, the administration of the Fire Victims
Trust, the selection of a trustee, settlement fund administrator, claims administrator, or a trust oversight committee. The Fire Victim Claims shall be administered by a Fire Victim Trust and a settlement oversight committee independent
of the Debtors. The Fire Victim Claims shall be
|
administered, allocated and distributed in accordance with applicable ethical rules and subject to adequate informed consent procedures. The Fire Victim Trustee shall receive settlement allocations
consistent with model rule 1.8 g. The rules and procedures governing the administration and allocation of the funds from the Fire Victim Trust shall be objectively applied and transparent. The Debtors, creditors (other than holders of
Fire Victim Claims), or any other party (other than holders of Fire Victim Claims), shall have no rights to any of the proceeds in the trust, nor any clawback or reversion interest of any of the monies allocated to any of the holders of
Fire Victim Claims generally or in the total amount funded to the trust.
|
1.
|
Butte Fire (2015)
|
||
2.
|
North Bay Wildfires (2017)
|
||
a.
|
LaPorte
|
||
b.
|
McCourtney
|
||
c.
|
Lobo
|
||
d.
|
Honey
|
||
e.
|
Redwood / Potter Valley
|
||
f.
|
Sulphur
|
||
g.
|
Cherokee
|
||
h.
|
37
|
||
i.
|
Blue
|
||
j.
|
Pocket
|
||
k.
|
Atlas
|
||
l.
|
Cascade
|
||
m.
|
Nuns
|
||
n.
|
Adobe
|
||
o.
|
Norrbom
|
||
p.
|
Pressley
|
||
q.
|
Patrick
|
||
r.
|
Pythian / Oakmont
|
||
s.
|
Maacama
|
||
t.
|
Tubbs
|
||
u.
|
Point
|
||
v.
|
Sullivan
|
||
3.
|
Camp Fire (2018)
|
||
4.
|
Ghost Ship Fire (2016)
|
By:
|
|||
Name: |
|||
Title: |
|
||
|
|
|||
Fax:
|
|||
Attention: |
|||
Email: |
|
||
|
Acknowledged:
|
||||
COMPANY
|
||||
|
By:
|
|||
Name: | ||||
Title: | ||||