IN AND FOR THE COUNTY OF MARICOPA ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) )

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Guttilla Murphy Anderson, P.C. 5415 E. High Street, Suite 200 Phoenix, AZ 85054 (480 304-8300 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 Guttilla Murphy Anderson, P.C. Patrick M. Murphy (Ariz. No. 002964 City North 5415 E. High St., Suite 200 Phoenix, Arizona 85054 Email: pmurphy@gamlaw.com Phone: (480 304-8300 Fax: (480 304-8301 Attorneys for the Receiver IN THE SUPERIOR COURT OF THE STATE OF ARIZONA STATE OF ARIZONA ex rel. ROBERT D. CHARLTON, Superintendent of the Arizona Department of Financial Institutions, Plaintiff, v. LANDMARC CAPITAL & INVESTMENT COMPANY, Defendant. follows: IN AND FOR THE COUNTY OF MARICOPA Cause No. CV2009-020595 PETITION NO. 96 PETITION FOR ORDER APPROVING THE SALE OF APPROXIMATELY 37 ACRES OF LAND LOCATED AT THE SOUTHWEST CORNER OF WOODY MOUNTAIN ROAD AND ROUTE 66 NEAR FLAGSTAFF, ARIZONA (Assigned to the Honorable Daniel Martin Robert D. Charlton, as the court appointed Receiver, respectfully petitions the Court as 1. On June 24, 2009, this Court entered its Order Appointing Receiver and Order to Show Cause, which appointed the Superintendent of the Arizona Department of Financial Institutions as Receiver of Landmarc Capital & Investment Company ( Landmarc. On July 10, 2009, this Court entered its Order Appointing Permanent Receiver and Injunction. On

Guttilla Murphy Anderson, P.C. 5415 E. High Street, Suite 200 Phoenix, AZ 85054 (480 304-8300 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 February 27, 2010, the Court entered its Order placing Hayden Investments, LLC, Desert Trails Holdings, LLC and Arizona Valuation Company, LLC in Receivership. On May 12, 2010, the Court entered its Amended Order Appointing Permanent Receiver and Injunction (collectively Receivership Order. The Receivership Order appointed Thomas J. Giallanza as Deputy Receiver. The Presidio 37 Loan 2. Beginning in 2006, Landmarc made a progression of loans to a group of developers ( Presidio West Borrowers secured by approximately 244 acres of land located just west of Flagstaff, Arizona between Interstate 40 and U.S. Highway Route 66 in Coconino County ( Presidio West Tract. 3. The $9.5 Million Loan (No. 06100775. The first loan made by Landmarc was a loan of $9.5 million on October 20, 2006, to a limited liability company created by the Presidio West Borrowers, Presidio West, LLC ( $9.5 Million Loan. The $9.5 Million Loan was secured by the entire 244 acres of the Presidio West Tract under a deed of trust recorded on October 23, 2006 as Document No. 3408716 ( $9.5 Million DOT. According to Landmarc s records, no less than 14 of Landmarc s lenders acquired a portion of Landmarc s interest in the $9.5 Million Loan and $9.5 Million DOT. The $9.5 Million DOT was released by a Deed of Partial Release and Partial Reconveyance recorded on January 18, 2007. 4. $14.2 Million Loan (No. 06100775. Approximately four months later, Landmarc replaced the $9.5 Million Loan with a new loan for $14.2 million to Presidio West, LLC ( $14.2 Million Loan. The $14.2 Million Loan was also secured by the entire 244 2

Guttilla Murphy Anderson, P.C. 5415 E. High Street, Suite 200 Phoenix, AZ 85054 (480 304-8300 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 acres of the Presidio West Tract under a deed of trust recorded on April 17, 2007 as Document No. 3434726. 1 5. In December 2007, Landmarc replaced 2 the $14.2 Million Loan with two new loans totaling $17.3 million. These two loans are described below and were secured by approximately 37 and 197 acres respectively. 3 a. Presidio 37 Loan (No. 07121849. On or about December 27, 2007, Landmarc loaned $2,800,000 to Presidio West 37, LLC ( Presidio 37 Loan, which was secured by approximately 36.94 acres of the Presidio West Tract located at the southwest corner of Woody Mountain Road and Route 66 in Flagstaff, Arizona ( Property under a Deed of Trust recorded with the Coconino County Recorder on December 31, 2007 as Document No. 3471152 ( Presidio 37 DOT. The legal description of the Property is attached hereto as Exhibit 1. According to Landmarc s records, this loan was beneficially owned as of the Receivership Date by six lenders, two of which are now receivership entities. b. Presidio 197 Loan (No. 07121853. On or about December 27, 2007, Landmarc loaned $14,500,000 to Presidio West 197, LLC, which was secured by approximately 197 acres of the Presidio West Tract under a Deed of Trust recorded 1 Although Landmarc failed to record a release of the $14.2 Million DOT, the United States Bankruptcy Court in an adversary filed in the Monterey Bankruptcy, entered judgment on February 11, 2014, which declared that the $14.2 Million Loan had been satisfied. 2 The records of Landmarc reflect that the $14.2 Million Loan was paid off as a result of Landmarc making the Presidio 37 Loan and the Presidio 197 Loan. 3 Ten of the original 244 acres, which served as the security for the $9.5 Million Loan and the $14.2 Million Loan, were not included in the deeds of trust for the two new loans. 3

Guttilla Murphy Anderson, P.C. 5415 E. High Street, Suite 200 Phoenix, AZ 85054 (480 304-8300 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 with the Coconino County Recorder on December 31, 2007 as Document No. 3471146. According to Landmarc s records, this loan was beneficially owned as of the Receivership Date by nine lenders. The Property and Beneficial Owners 6. Following the borrower s default, the Receiver foreclosed on the Presidio 37 DOT and acquired fee title to the Property pursuant to a Trustee s Deed recorded with the Coconino County Recorder on November 30, 2009 as Document Number 3546194. 7. The continued holding of the Property is not necessary or appropriate to protect the interests of any persons interested in this receivership. Moreover, since the Receiver holds a significant beneficial interest in the Property the liquidation of the Property is essential to the prompt resolution of this receivership and to pay for the administrative costs of the receivership. Accordingly, the Receiver commenced efforts to market and sell the Property. 8. The Court has previously approved the beneficial interests in the Presidio 37 Loan and the Property as follows 4 : Beneficial Owner Percentage TBM Associates, LLC 5 53.5% Receiver 6 27.0% 4 Order Deferring Resolution of the Claimed First Out Rights and Claimed Interests in the Presidio 197 Loan and Approving Remaining Recommendations of the Receiver, Re: Petition No. 54 entered on May 21, 2012. 5 The interest of TBM Associates, LLC approved by the Court was 53.46%, but for purposes of this Petition and the final distribution, the interest has been rounded to 53.5% in order to insure that the total of all approved interests equals 100%. 4

Guttilla Murphy Anderson, P.C. 5415 E. High Street, Suite 200 Phoenix, AZ 85054 (480 304-8300 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 Gubin Family Trust 7 9.1% Barry Wiss 7.9% Manny Daskal 2.5% 100.00% The Receiver s Property Preservation Expenses & Trust Funds 9. Landmarc and subsequently the Receiver incurred various expenses in connection with their efforts to enhance and protect the interests in the Presidio 37 Loan and the Property, including legal fees following the borrower s default and the foreclosure of the deed of trust, real estate taxes and insurance premiums regarding the Property, and various other expenses ( Property Preservation Expenses. An accounting of the Property Preservation Expenses, and the payments that the Receiver has received in partial reimbursement of these expenses, are set forth in Exhibit 2 attached hereto. 10. An accounting of the funds presently held in trust by the Receiver in connection with the Presidio 37 Loan and Property is attached as Exhibit 3. The balance of trust funds in the amount of $11,225.43 should be paid to the Receiver as partial reimbursement of the Property Preservation Expenses. 6 The Receiver s interest in the Presidio 37 Loan and the Property is comprised of interests held by two receivership entities: Desert Trails and Hayden Investments. In its Order Deferring Resolution of the Claimed First Out Rights and Claimed Interests in the Presidio 197 Loan and Approving Remaining Recommendations of the Receiver, Re: Petition No. 54 entered on May 21, 2012, the Court confirmed Desert Trails interest of 13.4% and Hayden Investments interest of 13.6%. 7 The interest of the Gubin Family Trust approved by the Court was 9.11%, but for purposes of this Petition and the final distribution the interest has been rounded to 9.1% in order to insure that the total of all approved interests equals 100%. 5

Guttilla Murphy Anderson, P.C. 5415 E. High Street, Suite 200 Phoenix, AZ 85054 (480 304-8300 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 Receiver s Efforts to Market and Sell the Property 11. On September 27, 2010, Tim Niebling of Niebling Commercial Appraisers submitted to the Receiver an appraisal of the Property which indicates a fair market value for the Property of $3,220.000 ( 2010 Neibling Appraisal. Mr. Niebling was issued Certificate No. 30732 by the State of Arizona as a Certified General Residential Real Estate Appraiser. The Receiver agreed to pay this appraiser a fee of $8,000 for this appraisal and the appraiser has no known interest in any of the parties or in the sale of the Property. 12. In May 2013, the Receiver received an offer from York Breckenridge GP, LLC, a Texas limited liability company ( York to purchase the Property for $2,950,000. On June 6, 2013, the Receiver filed his Petition No. 76, Petition to Confirm Sale of Approximately 37 Acres of the Presidio West Tract, which sought an order approving the sale of the Property. A competing bid was received by the Receiver prior to approval of the sale, and accordingly York increased its offer to $3,225,000 and agreed to shorten its due diligence period. On August 30, 2013 the Court entered its Order Re: Petition No. 76 approving the sale of the Property. Due to York s inability to obtain a water study from the City of Flagstaff prior to the end of its due diligence period, on December 13, 2013, York elected to cancel the sale agreement approved by the Court. 13. On March 4, 2014, the Receiver received a new offer from York to purchase the Property for $3,225,000 under terms that were acceptable to the Receiver. On May 20, 2014 the Court entered its Order Re: Petition No. 80 approving the sale of the Property to York. York s development plan for the Property contemplated the construction of student housing. 6

Guttilla Murphy Anderson, P.C. 5415 E. High Street, Suite 200 Phoenix, AZ 85054 (480 304-8300 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 However, York was unable to obtain confirmation upon second reading of Flagstaff City Council approval of its development plan from the City of Flagstaff and thus failed to close and forfeited its earnest money deposit. A supermajority vote in favor of York s development plan was required from the Flagstaff City Council on second reading because adjoining landowners had filed an objection to the plan with the City Council. The Flagstaff City Council failed on second reading to approve York s development plan by the required supermajority vote. Given the neighbors opposition, it is likely that the only development plan that can successfully obtain City Council approval in the near future is a plan for single family residential development. 14. On June 15, 2016, the Receiver received an offer from Woody Mountain 37, LLC, to purchase the Property under terms that were acceptable to the Receiver. The Purchase Agreement is attached as Exhibit 4 and provides for the sale of the Property for $1,650,000 in cash and is conditioned upon, among other things, upon the completion of a due diligence investigation by the Buyer and the approval by this Court. This Purchase Agreement provides for the sale to close on or before September 13, 2016. The principals that control the Buyer have a long history in Flagstaff as residential developers. The Buyer has completed its due diligence investigation and the only remaining contingency under the Purchase Agreement is the approval by this Court. 15. In accordance with this Court s Order Re: Petition Number 2, the Receiver: 7

Guttilla Murphy Anderson, P.C. 5415 E. High Street, Suite 200 Phoenix, AZ 85054 (480 304-8300 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 a. Has mailed a copy of this Petition, the proposed order, and the Notice of Hearing, to all persons on the Master Service List as indicated in the Proof of Mailing filed herewith; b. Intends to publish notice of this sale in a newspaper of general circulation within the county in which this action is pending; and c. Intends to publish notice of this sale in a newspaper of general circulation within Coconino County, the county in which the Property is located. 16. Although the purchase price to be paid under the Purchase Agreement is less than the value set forth in the 2010 Neibling Appraisal and is less than the purchase price in the most recent sale agreements, the Receiver believes a more accurate indicator of the actual current value of the Property is provided by the price at which the adjoining 197 acres were sold. The purchase price under the Purchase Agreement equals $44,595 per acre which is 54% greater than the price obtained from the sale of the adjoining 197 acres 8. Recently, the Receiver has received an offer from a party affiliated with TBM Associates, LLC to acquire the Receiver s interest in the Property for $216,000.00, which represents a price of $21,657.00 per acre. In addition, the sale price in the prior contracts was for a specialized use of the Property (student housing which in light of the objections of the adjoining property owners is no longer a viable use of the Property. Finally, the Purchase Agreement now before the Court does not require the payment of real estate commissions, which was not the case in the prior contracts on the Property. 8 The adjoining 197 acres sold at public auction conducted by the United States Bankruptcy Court in the Monterey Bankruptcy for $5,700,000, or $28,934 per acre. 8

Guttilla Murphy Anderson, P.C. 5415 E. High Street, Suite 200 Phoenix, AZ 85054 (480 304-8300 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 17. The Receiver recommends that the Property be sold for the price and under the terms set forth in the Purchase Agreement attached as Exhibit 4, which the Receiver believes are in the best interests of the receivership estate. WHEREFORE, the Receiver respectfully requests that the Court enter an order: 1. Approving the sale of the Property as set forth in the Purchase Agreement attached as Exhibit 4 to this Petition of the Property legally described in Exhibit 1 ; 2. Declaring that the sale of the Property is free and clear of all liens and encumbrances; 3. Authorizing the Receiver to disburse $15,225.43, from the funds held in trust for the Property to the receivership estate in partial satisfaction of the Property Preservation Expenses due to Landmarc; 4. Authorizing the escrow agent to disburse the net sale proceeds as follows: a. First, the sum of $41,420.79 to the Receiver as reimbursement of Property Preservation Expenses incurred by Landmarc; and b. Then the remaining funds to the beneficial owners in the following percentages: TBM Associates, LLC 53.5% Receiver 27.0% Gubin Family Trust 9.1% Barry Wiss 7.9% Manny Daskal 2.5% 9

Guttilla Murphy Anderson, P.C. 5415 E. High Street, Suite 200 Phoenix, AZ 85054 (480 304-8300 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 5. Authorizing the Receiver or Thomas J. Giallanza, as Deputy Receiver, to execute all necessary documents in connection with the sale of the Property confirmed by the Court; and 6. Granting such further relief as the Court deems appropriate. Respectfully submitted this 2 nd day of September, 2016. GUTTILLA MURPHY ANDERSON, P.C. /s/patrick M. Murphy Patrick M. Murphy Attorneys for the Receiver 10

1 Guttilla Murphy Anderson, P.C. 5415 E. High Street, Suite 200 Phoenix, AZ 85054 (480 304-8300 2 3 4 5 6 7 8 9 10 11 12 13 Verification I, THOMAS J. GIALLANZA, do hereby declare as follows: I am the court appointed Deputy Receiver of Landmarc Capital & Investment Company Receivership in the above-entitled and numbered cause of action; that I have read the foregoing Petition, and know the contents thereof; that the matters and things contained therein are true in substance and in fact, to the best of my information, knowledge and belief, except as to those matter and things alleged on information and belief, and as to those matters, I believe them to be true. I declare under penalty of perjury that the foregoing is true and correct. Executed this 2 nd day of September, 2016 in Phoenix, Arizona. 14 15 16 17 18 19 20 21 1157-013.02 (247304 /s/thomas J. Giallanza Thomas J. Giallanza, Deputy Receiver 11

Exhibit 1

Exhibit 1

Presidio 37 Loan/Property Preservation Expenses Paid by Landmarc/Rece Date Payee/Payor Description Amount 03/18/08 Burch & Cracchiolo, PA Attorney Fees & Costs 320.50 07/08/08 Burch & Cracchiolo, PA Attorney Fees & Costs 1,929.46 08/11/08 Burch & Cracchiolo, PA Attorney Fees & Costs 608.03 09/17/08 Burch & Cracchiolo, PA Attorney Fees & Costs 225.05 11/03/08 Burch & Cracchiolo, PA Foreclosure Fees & Costs 694.30 11/10/08 Burch & Cracchiolo, PA Attorney Fees & Costs 788.59 11/30/08 Burch & Cracchiolo, PA Attorney Fees & Costs 66.51 12/04/08 Stewart Title & Trust 2,826.00 01/12/09 Burch & Cracchiolo, PA Attorney Fees & Costs 258.31 02/12/09 Burch & Cracchiolo, PA Attorney Fees & Costs 320.88 04/10/09 Burch & Cracchiolo, PA Attorney Fees & Costs 390.00 04/30/09 Burch & Cracchiolo, PA Attorney Fees & Costs 737.71 04/30/09 Burch & Cracchiolo, PA Attorney Fees & Costs 321.56 05/31/09 Burch & Cracchiolo, PA Attorney Fees & Costs 227.50 06/30/09 Burch & Cracchiolo, PA Attorney Fees & Costs 501.71 07/31/09 Burch & Cracchiolo, PA Attorney Fees & Costs 160.31 05/07/10 Lawyers Title 350.00 09/29/10 Niebling Appraisals Appraisal 8,000.00 05/20/11 AFCO-GL Insurance Insurance 1,397.00 06/27/11 Trust Account Negative Trust Account 822.44 08/30/11 Security Title Agency 200.00 05/31/12 RP Ryan Insurance Insurance 382.00 11/07/12 Coconino County Treasurer Property taxes 44,575.59 07/11/13 Cushman & Wakefield Insurance 2,500.00 08/15/13 Cushman & Wakefield Insurance 2,500.00 08/23/13 Berkshire Hathaway Insurance 383.00 08/26/13 CDS Liab. Ins. Insurance 90.86 09/16/13 Thomas Giallanza 30.08 05/01/14 Berkshire Hathaway Insurance 419.00 10/21/15 Coconino County Treasurer Property taxes 7,592.87 09/30/15 RP Ryan Insurance Insurance 214.00 79,833.26 Reimbursements 12/17/12 Manny Daskal (1,114.39 12/21/12 Wiss (3,532.17 08/23/13 Gubin Family Trust (10,947.61 03/16/16 From Trust Account (7,592.87 Net Unreimbursed Expenses 56,646.22 Exhibit 2

Presidio 37 Loan/Property Trust Accounting Loan No. 07121849 Date Payee/Payor Description Amount 06/09/11 Lovitt & Touche' Inc. Insurance (822.44 06/27/11 Landmarc Capital & Investment Reimburse Negative Trust 822.44 01/09/14 North American Title Forfeiture of Escrow Deposit 13,025.00 03/05/15 North American Title Forfeiture of Escrow Deposit 120,000.00 03/12/15 Coconino County Treasurer Property taxes (102,513.93 03/16/16 LCI Reimburse for Prop Taxes (7,592.87 06/10/16 Coconino County Treasurer Property taxes (7,692.77 Trust Account Balance 15,225.43 Exhibit 3