Evidence Record
Declaration of Christopher W. Bascom in Support of Legalist Spv Iii, L.p.’s Motion for Summary Judgment
1. I am over 18 years old and of sound mind. The following information is based on my personal knowledge, and I am competent to testify on the matters herein.
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Declaration in Support of Motion for Summary Judgment
Total Nodes
33
Node Legend
Entity (ENT)
Event (EVT)
Claim (CLM)
Anchor (ANC)
Omission (OMI)
Tension (TEN)
Tell (TEL)
Inference (INF)
Hypothesis (HYP)
Stage 1
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Document Classification
Declaration in Support of Motion for Summary Judgment Christopher W. Bascom, Spotts Fain P.C., representing Legalist SPV III, L.P. Federal interpleader action in U.S. District Court, Eastern District of Virginia, involving multiple claimants to disputed funds June 2023 - April 2026
multi_party_interpleaderparallel_texas_proceedingssettlement_enforcementpriority_dispute
Analytical Frame
Procedural evidence authentication for summary judgment motion in commercial litigation
Analytical Summary
This declaration authenticates 27 exhibits supporting Legalist SPV III, L.P.'s motion for summary judgment in an interpleader action where HII Mission Technologies deposited disputed funds into court. Christopher W. Bascom, counsel for Legalist, certifies exhibits documenting a settlement agreement between Cyberlux and Atlantic Wave (June 2023), subsequent judgment enforcement actions in Virginia and Texas, UCC filings across multiple states establishing security interests, and discovery responses from all claimants. The exhibits trace Atlantic Wave's efforts to enforce a Richmond Circuit Court judgment through receivership proceedings in Texas, culminating in a settlement and fund distribution order in March 2026. The declaration establishes the evidentiary foundation for Legalist's claim to priority among competing creditors.
Key Points
- Christopher W. Bascom declares under penalty of perjury to authenticate exhibits for Legalist's summary judgment motion
- Exhibits document settlement agreement between Cyberlux and Atlantic Wave dated June 15, 2023
- Atlantic Wave obtained amended final judgment from Richmond Circuit Court on June 28, 2023
- Atlantic Wave filed UCC statements in five states between July 2023 and March 2026 establishing security interests
- Parallel Texas proceedings included receivership, enforcement motions, and ultimate settlement in March 2026
- Discovery responses from all parties (U.S. government, Confessed Judgment Debtors, ANPC, TAG, Fairwinds, ARG) are authenticated
- Exhibit 34 provides Legalist's summary chart of all parties' claims, security interests, and priority positions
Stage 2
Core — Entities, Events, Claims
22 nodes
ENT-001
Entity
Christopher W. Bascom
Attorney at Spotts Fain, P.C., representing Legalist SPV III, L.P. in this interpleader action. Licensed to practice law in Virginia. Declares under penalty of perjury pursuant to 28 U.S.C. § 1746.
Page 1 — I am an attorney at the law firm Spotts Fain, P.C. and am one of the attorneys representing Defendant/Claimant Legalist SPV III, L.P. ("Legalist") in this matter. I am duly licensed to practice law in the State of Virginia.
ENT-002
Entity
Legalist SPV III, L.P.
Defendant/Claimant in interpleader action. Moving party for summary judgment supported by this declaration.
Page 1 — I am an attorney at the law firm Spotts Fain, P.C. and am one of the attorneys representing Defendant/Claimant Legalist SPV III, L.P. ("Legalist") in this matter.
ENT-003
Entity
HII Mission Technologies Corp.
Interpleader plaintiff who deposited disputed funds with the court, initiating this multi-claimant proceeding.
Page 1 — HII MISSION TECHNOLOGIES CORP., Interpleader Plaintiff, V. CYBERLUX CORPORATION, et al., Interpleader Defendants/Claimants.
ENT-004
Entity
Cyberlux Corporation
Named interpleader defendant/claimant. Party to settlement agreement with Atlantic Wave dated June 15, 2023. Also party to Texas Action proceedings.
Page 1, 2 — Attached as Exhibit 9 is a true and correct copy of the Settlement Agreement entered between Cyberlux and Atlantic Wave on June 15, 2023.
ENT-005
Entity
Atlantic Wave
Party who obtained judgment from Richmond Circuit Court and filed UCC statements in multiple states. Settlement counterparty to Cyberlux and judgment creditor in Texas Action.
Page 2 — Attached as Exhibit 9 is a true and correct copy of the Settlement Agreement entered between Cyberlux and Atlantic Wave on June 15, 2023. Attached as Exhibit 10 is a true and correct copy of the Amended Final Order and Judgment entered in Atlantic Wave's favor by the Richmond Circuit Court on June 28, 2023.
ENT-006
Entity
Richmond Circuit Court
Virginia state court that entered Amended Final Order and Judgment in favor of Atlantic Wave on June 28, 2023.
Page 2 — Attached as Exhibit 10 is a true and correct copy of the Amended Final Order and Judgment entered in Atlantic Wave's favor by the Richmond Circuit Court on June 28, 2023.
ENT-007
Entity
U.S. Government
Party responding to Discovery Plan Interrogatory and RFPs in this interpleader action.
Page 3 — Attached as Exhibit 21 is a true and correct copy of the U.S. government's response to the Discovery Plan Interrogatory and Discovery Plan RFPs. Attached as Exhibit 22 is a true and correct copy of the documents produced by the U.S. government in response to the Discovery Plan RFPs.
ENT-008
Entity
Confessed Judgment Debtors
Parties who responded to discovery and produced documents in this interpleader action.
Page 3 — Attached as Exhibit 23 is a true and correct copy of is a true and correct copy of Confessed Judgment Debtors' response to the Discovery Plan Interrogatory. Attached as Exhibit 24 is a true and correct copy of relevant documents produced by the Confessed Judgment Debtors in response to the Discovery Plan RFPs.
ENT-009
Entity
ANPC
Party responding to Discovery Plan Interrogatory and producing documents in this interpleader action.
Page 3 — Attached as Exhibit 25 is a true and correct copy of ANPC's response to the Discovery Plan Interrogatory. Attached as Exhibit 26 is a true and correct copy of relevant documents produced by the ANPC in response to the Discovery Plan RFPs.
ENT-010
Entity
TAG
Party responding to Discovery Plan Interrogatory and RFPs, including supplemental responses, in this interpleader action.
Page 3 — Attached as Exhibit 27 is a true and correct copy of TAG's response to the Discovery Plan Interrogatory and Discovery Plan RFPs. Attached as Exhibit 29 is a true and correct copy of TAG's supplemental response to the Discovery Plan Interrogatory and Discovery Plan RFPs.
ENT-011
Entity
Fairwinds
Party responding to Discovery Plan Interrogatory and producing documents in this interpleader action.
Page 4 — Attached as Exhibit 30 is a true and correct copy of Fairwinds's response to the Discovery Plan Interrogatory and Discovery Plan RFPs. Attached as Exhibit 31 is a true and correct copy of relevant documents produced by Fairwinds in response to the Discovery Plan RFPs.
ENT-012
Entity
ARG
Party responding to Discovery Plan Interrogatory and RFPs, including supplemental responses, in this interpleader action.
Page 4 — Attached as Exhibit 32 is a true and correct copy of ARG's response to the Discovery Plan Interrogatory and Discovery Plan RFPs. Attached as Exhibit 33 is a true and correct copy of ARG's supplemental response to the Discovery Plan Interrogatory and Discovery Plan RFPs.
EVT-001
Event
Cyberlux-Atlantic Wave Settlement Agreement
Settlement Agreement entered between Cyberlux Corporation and Atlantic Wave on June 15, 2023. Authenticated as Exhibit 9 to this declaration.
Page 2 — Attached as Exhibit 9 is a true and correct copy of the Settlement Agreement entered between Cyberlux and Atlantic Wave on June 15, 2023.
EVT-002
Event
Richmond Circuit Court Judgment
Amended Final Order and Judgment entered in Atlantic Wave's favor by the Richmond Circuit Court on June 28, 2023. Authenticated as Exhibit 10.
Page 2 — Attached as Exhibit 10 is a true and correct copy of the Amended Final Order and Judgment entered in Atlantic Wave's favor by the Richmond Circuit Court on June 28, 2023.
EVT-003
Event
Multi-State UCC Filings
Atlantic Wave filed UCC statements in North Carolina, Texas, and Virginia on July 6, 2023; in California on October 20, 2023; and in Nevada on March 20, 2026. Authenticated as Exhibit 11.
Page 2 — Attached as Exhibit 11 are true and correct copies of the UCC statements filed by Atlantic Wave in in North Carolina, Texas, and Virginia on July 6, 2023, in California on October 20, 2023, and in Nevada on March 20, 2026.
EVT-004
Event
Texas Action Initiation
Petition to Enforce Foreign Judgment filed in Texas Action on July 30, 2024. Authenticated as Exhibit 12.
Page 2 — Attached as Exhibit 12 is a true and correct copy of Petition to Enforce Foreign Judgment filed in the Texas Action on July 30, 2024.
EVT-005
Event
Texas Action Receivership and Settlement
Series of filings in Texas Action including Motion to Supplement Receivership (August 29, 2025), Second Amended Motion for Distribution of Funds (January 6, 2026), Cyberlux opposition, Amended Joint Motion to Supplement Receivership (February 20, 2026), Joint Notice of Settlement and Joint Motion (February 26, 2026), Order on Distribution (March 2, 2026), Order on Nonsuit (March 13, 2026), and hearing transcript (March 2, 2026). Authenticated as Exhibits 13-20.
Page 2, 3 — Attached as Exhibit 13 is a true and correct copy of the Motion to Supplement Receivership filed in the Texas Action on August 29, 2025. Attached as Exhibit 14 is a true and correct copy of Plaintiff's Second Amended Motion for Distribution of Funds filed in the Texas Action on January 6, 2026. Attached as Exhibit 15 is a true and correct copy of Cyberlux's opposition to the Motion for Distribution of Funds in the Texas Action. Attached as Exhibit 16 is a true and correct copy of the Amended (Joint) Motion to Supplement Receivership filed in the Texas Action on February 20, 2026. Attached as Exhibit 17 is a true and correct copy of the Joint Notice of Settlement and Joint Motion for Release of Funds, For Satisfaction of Judgment, and to Dissolve Receivership filed in the Texas Action on February 26, 2026. Attached as Exhibit 18 is a true and correct copy of the Order on Judgment Creditors' Second Amended Motion for Distribution of Funds signed by the judge in the Texas Action on March 2, 2026. Attached as Exhibit 19 is a true and correct copy of the Order on Nonsuit signed by the judge in the Texas Action on March 13, 2026. Attached as Exhibit 20 is a true and correct copy of the transcript of a hearing that took place on March 2, 2026 in the Texas Action.
EVT-006
Event
Discovery Responses by All Parties
All parties to the interpleader suit agreed to answer one interrogatory and two document requests by March 9, 2026. Discovery responses and document productions were received from Atlantic Wave (Exhibit 8), U.S. Government (Exhibits 21-22), Confessed Judgment Debtors (Exhibits 23-24), ANPC (Exhibits 25-26), TAG (Exhibits 27-29), Fairwinds (Exhibits 30-31), and ARG (Exhibits 32-33).
Page 1, 2, 3, 4 — In the Joint Discovery Plan, the parties to this suit agreed to answer one interrogatory (the "Discovery Plan Interrogatory") and two document requests (the "Discovery Plan RFPs") by March 9, 2026. ECF No. 149, 16. Attached as Exhibit 8 is a true and correct copy of the Supplemental Response to Interrogatory Number 6 served by Atlantic Wave in response to the Discovery Plan Interrogatory.
EVT-007
Event
Declaration Execution
Christopher W. Bascom executed this declaration under penalty of perjury on April 15, 2026, in support of Legalist's Motion for Summary Judgment.
Page 4 — I declare under the penalty of perjury that the foregoing is true and correct. Executed on April 15, 2026 By: /s/ Christopher W. Bascom Christopher W. Bascom
CLM-001
Claim
Authentication of 27 Exhibits
Bascom declares that Exhibits 8 through 34 attached to this declaration are true and correct copies of the documents described. These exhibits include settlement agreements, court orders, UCC filings, pleadings from parallel Texas proceedings, discovery responses, and Legalist's priority chart.
Page 1, 2, 3, 4 — Attached as Exhibit 8 is a true and correct copy... Attached as Exhibit 9 is a true and correct copy... [continues through] Attached as Exhibit 34 is a chart summarizing Legalist's position on all parties' claims, security, and priority.
CLM-002
Claim
Personal Knowledge and Competence
Bascom declares he is over 18, of sound mind, and that the information in the declaration is based on personal knowledge. He is competent to testify on these matters.
Page 1 — I am over 18 years old and of sound mind. The following information is based on my personal knowledge, and I am competent to testify on the matters herein.
CLM-003
Claim
Unified Term Definitions
All defined terms in the declaration are the same as those in Legalist's Motion for Summary Judgment and Memorandum in Support.
Page 1 — All defined terms herein are the same as those in Legalist's Motion for Summary Judgment and Memorandum in Support.
Stage 3
In Situ — Quotations, Tells, Tensions, Questions
4 nodes
QST-001
Question
Relationship Between Legalist and Atlantic Wave
The document does not clarify the relationship between Legalist SPV III, L.P. (the movant) and Atlantic Wave (judgment creditor with extensive enforcement activity). Does Legalist hold Atlantic Wave's judgment rights through assignment, or is Legalist asserting an independent claim with priority over Atlantic Wave's interest?
Page 1 — I am an attorney at the law firm Spotts Fain, P.C. and am one of the attorneys representing Defendant/Claimant Legalist SPV III, L.P. ("Legalist") in this matter.
QST-002
Question
Nature of HII Mission Technologies' Interpleader
Why did HII Mission Technologies initiate interpleader proceedings? The document does not specify the source or amount of the disputed funds, the contractual or legal basis for HII's obligation, or which claimants initially asserted rights triggering the interpleader.
Page 1 — HII MISSION TECHNOLOGIES CORP., Interpleader Plaintiff, V. CYBERLUX CORPORATION, et al., Interpleader Defendants/Claimants.
QST-003
Question
Timing of Nevada UCC Filing
Atlantic Wave filed UCC statements in four states within weeks of the June 2023 judgment, but the Nevada filing occurred nearly three years later in March 2026. What triggered the belated Nevada filing, and does this timing affect priority relative to other creditors?
Page 2 — Attached as Exhibit 11 are true and correct copies of the UCC statements filed by Atlantic Wave in in North Carolina, Texas, and Virginia on July 6, 2023, in California on October 20, 2023, and in Nevada on March 20, 2026.
QST-004
Question
Role of U.S. Government in Dispute
The U.S. Government is a responding party to discovery requests, suggesting it may have an interest in the interpled funds. Is the government a contract party, a regulatory authority, or asserting some other basis for involvement in this commercial dispute?
Page 3 — Attached as Exhibit 21 is a true and correct copy of the U.S. government's response to the Discovery Plan Interrogatory and Discovery Plan RFPs.
Stage 4
Interpretive — Inferences, Omissions, Patterns
7 nodes
INF-001
Inference
Evidentiary Foundation Purpose
The declaration establishes the evidentiary foundation for Legalist's summary judgment motion by authenticating key documents showing Atlantic Wave's enforcement of its judgment, establishment of security interests via UCC filings, and the responses of all competing claimants to coordinated discovery.
Page 1 — I submit this declaration in support of Legalist's Motion for Summary Judgment.
INF-002
Inference
Priority Dispute Among Multiple Creditors
The involvement of at least eight distinct parties responding to discovery (Atlantic Wave, U.S. Government, Confessed Judgment Debtors, ANPC, TAG, Fairwinds, ARG, and Cyberlux) indicates a complex priority dispute where multiple creditors claim entitlement to the interpled funds. Exhibit 34's summary chart of claims, security, and priority suggests Legalist is asserting a superior position relative to these competing claims.
Page 4 — Attached as Exhibit 34 is a chart summarizing Legalist's position on all parties' claims, security, and priority.
INF-003
Inference
Parallel Enforcement Strategy
Atlantic Wave pursued a multi-jurisdictional enforcement strategy: obtaining judgment in Virginia (June 28, 2023), immediately filing UCC statements in multiple states (July 2023), then filing to enforce the foreign judgment in Texas (July 2024). The Texas proceedings culminated in settlement and fund distribution orders in early 2026, suggesting Atlantic Wave successfully converted its Virginia judgment into enforceable Texas remedies.
Page 2 — Attached as Exhibit 10 is a true and correct copy of the Amended Final Order and Judgment entered in Atlantic Wave's favor by the Richmond Circuit Court on June 28, 2023. Attached as Exhibit 11 are true and correct copies of the UCC statements filed by Atlantic Wave in in North Carolina, Texas, and Virginia on July 6, 2023... Attached as Exhibit 12 is a true and correct copy of Petition to Enforce Foreign Judgment filed in the Texas Action on July 30, 2024.
INF-004
Inference
Settlement Resolved Texas Litigation
The sequence of filings in the Texas Action shows contested proceedings (motion to supplement receivership, motion for distribution, Cyberlux opposition) that transitioned to joint settlement motions in late February 2026, followed by judicial orders granting distribution and nonsuit in March 2026. This indicates the parties reached a negotiated resolution that satisfied Atlantic Wave's judgment and dissolved the receivership.
Page 2, 3 — Attached as Exhibit 15 is a true and correct copy of Cyberlux's opposition to the Motion for Distribution of Funds in the Texas Action. Attached as Exhibit 17 is a true and correct copy of the Joint Notice of Settlement and Joint Motion for Release of Funds, For Satisfaction of Judgment, and to Dissolve Receivership filed in the Texas Action on February 26, 2026. Attached as Exhibit 18 is a true and correct copy of the Order on Judgment Creditors' Second Amended Motion for Distribution of Funds signed by the judge in the Texas Action on March 2, 2026.
OMI-001
Omission
No Substance of Settlement Agreement
The declaration authenticates the settlement agreement between Cyberlux and Atlantic Wave (June 15, 2023) but provides no information about its terms, consideration, or how it relates to the interpled funds or the claims of other parties.
Page 2 — Attached as Exhibit 9 is a true and correct copy of the Settlement Agreement entered between Cyberlux and Atlantic Wave on June 15, 2023.
OMI-002
Omission
No Details on Judgment Amount or Basis
The Richmond Circuit Court entered judgment in Atlantic Wave's favor, but the declaration does not disclose the amount of the judgment, the underlying cause of action, or the relationship between that judgment and the funds held by HII Mission Technologies.
Page 2 — Attached as Exhibit 10 is a true and correct copy of the Amended Final Order and Judgment entered in Atlantic Wave's favor by the Richmond Circuit Court on June 28, 2023.
OMI-003
Omission
No Context on Confessed Judgment Debtors
Multiple parties are identified only by functional or abbreviated labels (Confessed Judgment Debtors, ANPC, TAG, ARG) without explanation of their identity, their contractual relationship to the dispute, or the basis for their claims.
Page 3 — Attached as Exhibit 23 is a true and correct copy of is a true and correct copy of Confessed Judgment Debtors' response to the Discovery Plan Interrogatory.
Extracted text
4 pages · 5821 charactersFiling Header
IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF VIRGINIA RICHMOND DIVISION
HII MISSION TECHNOLOGIES CORP.,
Interpleader Plaintiff,
V. CYBERLUX CORPORATION, et al.,
Interpleader Defendants/Claimants.
Civil Action No. 3:25-cv-483-JAG
DECLARATION OF CHRISTOPHER W. BASCOM IN SUPPORT OF LEGALIST SPV III, L.P.'S MOTION FOR SUMMARY JUDGMENT
Declaration
I, Christopher W. Bascom, pursuant to the provisions of 28 U.S.C. § 1746, declare:
1.
I am over 18 years old and of sound mind. The following information is based on my personal knowledge, and I am competent to testify on the matters herein.
2.
I am an attorney at the law firm Spotts Fain, P.C. and am one of the attorneys representing Defendant/Claimant Legalist SPV III, L.P. ("Legalist") in this matter. I am duly licensed to practice law in the State of Virginia. I submit this declaration in support of Legalist's Motion for Summary Judgment.
3.
All defined terms herein are the same as those in Legalist's Motion for Summary Judgment and Memorandum in Support.
4.
In the Joint Discovery Plan, the parties to this suit agreed to answer one interrogatory (the "Discovery Plan Interrogatory") and two document requests (the "Discovery Plan RFPs") by March 9, 2026. ECF No. 149, 16.
5.
Attached as Exhibit 8 is a true and correct copy of the Supplemental Response to Interrogatory Number 6 served by Atlantic Wave in response to the Discovery Plan Interrogatory.
6.
Attached as Exhibit 9 is a true and correct copy of the Settlement Agreement entered between Cyberlux and Atlantic Wave on June 15, 2023.
7.
Attached as Exhibit 10 is a true and correct copy of the Amended Final Order and Judgment entered in Atlantic Wave's favor by the Richmond Circuit Court on June 28, 2023.
8.
Attached as Exhibit 11 are true and correct copies of the UCC statements filed by Atlantic Wave in in North Carolina, Texas, and Virginia on July 6, 2023, in California on October 20, 2023, and in Nevada on March 20, 2026.
9.
Attached as Exhibit 12 is a true and correct copy of Petition to Enforce Foreign Judgment filed in the Texas Action on July 30, 2024.
0.
Attached as Exhibit 13 is a true and correct copy of the Motion to Supplement Receivership filed in the Texas Action on August 29, 2025.
1.
Attached as Exhibit 14 is a true and correct copy of Plaintiff's Second Amended Motion for Distribution of Funds filed in the Texas Action on January 6, 2026.
12.
Attached as Exhibit 15 is a true and correct copy of Cyberlux's opposition to the Motion for Distribution of Funds in the Texas Action.
13.
Attached as Exhibit 16 is a true and correct copy of the Amended (Joint) Motion to Supplement Receivership filed in the Texas Action on February 20, 2026.
14.
Attached as Exhibit 17 is a true and correct copy of the Joint Notice of Settlement and Joint Motion for Release of Funds, For Satisfaction of Judgment, and to Dissolve Receivership filed in the Texas Action on February 26, 2026.
15.
Attached as Exhibit 18 is a true and correct copy of the Order on Judgment Creditors' Second Amended Motion for Distribution of Funds signed by the judge in the Texas Action on March 2, 2026.
6.
Attached as Exhibit 19 is a true and correct copy of the Order on Nonsuit signed by the judge in the Texas Action on March 13, 2026.
17.
Attached as Exhibit 20 is a true and correct copy of the transcript of a hearing that took place on March 2, 2026 in the Texas Action.
18.
Attached as Exhibit 21 is a true and correct copy of the U.S. government's response to the Discovery Plan Interrogatory and Discovery Plan RFPs.
19.
Attached as Exhibit 22 is a true and correct copy of the documents produced by the U.S. government in response to the Discovery Plan RFPs.
20.
Attached as Exhibit 23 is a true and correct copy of is a true and correct copy of Confessed Judgment Debtors' response to the Discovery Plan Interrogatory.
21.
Attached as Exhibit 24 is a true and correct copy of relevant documents produced by the Confessed Judgment Debtors in response to the Discovery Plan RFPs.
22.
Attached as Exhibit 25 is a true and correct copy of ANPC's response to the Discovery Plan Interrogatory.
3.
Attached as Exhibit 26 is a true and correct copy of relevant documents produced by the ANPC in response to the Discovery Plan RFPs.
24.
Attached as Exhibit 27 is a true and correct copy of TAG's response to the Discovery Plan Interrogatory and Discovery Plan RFPs.
25.
5. Attached as Exhibit 28 is a true and correct copy of relevant documents produced by TAG in response to the Discovery Plan RFPs.
26.
Attached as Exhibit 29 is a true and correct copy of TAG's supplemental response to the Discovery Plan Interrogatory and Discovery Plan RFPs.
27.
Attached as Exhibit 30 is a true and correct copy of Fairwinds's response to the Discovery Plan Interrogatory and Discovery Plan RFPs.
8.
Attached as Exhibit 31 is a true and correct copy of relevant documents produced by Fairwinds in response to the Discovery Plan RFPs.
29.
Attached as Exhibit 32 is a true and correct copy of ARG's response to the Discovery Plan Interrogatory and Discovery Plan RFPs.
30.
Attached as Exhibit 33 is a true and correct copy of ARG's supplemental response to the Discovery Plan Interrogatory and Discovery Plan RFPs.
1.
Attached as Exhibit 34 is a chart summarizing Legalist's position on all parties' claims, security, and priority.
I declare under the penalty of perjury that the foregoing is true and correct.
Executed on April 15, 2026
By: /s/ Christopher W. Bascom
Christopher W. Bascom
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