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Showíng Animals Respect &. Kindness v. Professionøl Rodeo Cowboys Associøtion N.D.Ill. Case No. 1:08-cv-03314 SETTLEMENT AGREEMENT AND MUTUAL RELEASES THIS AGREEMENT is made this 4th day of February,2009, by and between Showing Animals Respect & Kindness ("SHARK"), a nonprofit corporation organized under the laws of the State of Illinois with its principal place of business in Geneva, Illinois, and Professional Rodeo Cowboys Association ("PRCA"), a nonprofit corporation organized under the laws of the State of Colorado with its principal place of business in Colorado Springs, Colorado (collectively, the "Parties"). WHEREAS, Plaintiff SHARK conìmenced the above-captioned litigation against the PRCA by filing a Complaint on June 9,2008 (the "Action") alleging violations of 17 U.S.C. $ 512(Ð and for tortious interference with contract; WHEREAS, on October 3, 2008, the PRCA filed its Answer and Affirmative Defenses to the Complaint denying the validity of SHARK's claims; and WHEREAS, the Parties wish amicably to resolve their differences, to resolve the disputes between them concerning the facts alleged in the Complaint, and to release, discharge, compromise, settle and resolve all claims or causes of action they may have against the other with regard to such facts or with regard to their conduct of the prosecution or defense of the Action; NOW' THEREFORE, for good and valuable consideration, the receipt and sufficiency of which is acknowledged, the Parties, intending to be legally bound, agree as follows: l. Compensatìon: Within five (5) business days following the execution of this Agreement, PRCA agrees to pay SHARK the amount of Twenty-Five Thousand Dollars ($25,000) by check made payable to the Electronic Frontier Foundation, as attorneys for SHARK.

2. Future Conduct. a. with the goal of preventing disputes of the type underlying the Action from arising in the future, the PRCA and SHARK will employ the following procedure: SHARK will designate an Internet video contact for the PRCA, which contact may be changed from time to time upon notice in writing to the PRCA in accord with section 9 hereof. 11. If the PRCA forms a good faith belief that any future SHARK video violates the PRCA's rights, the prca will notiff SHARK's Internet video contact. ll1. Once notified, SHARK will have five (5) business days to correct the problem by taking down the video. iv. If SHARK believes in good faith that the video does not violate the PRCA's rights, and therefore chooses not to take the video down, the PRCA may take fuither action with respect to the SHARK video, including, but not limited to, going to court to enforce its rights and using the processes set forth in section 512 of the Digital Millennium Copyright Act ("DMCA notice and takedown process") subject to the following conditions: 1. If the PRCA's intellectual property monitor believes in good faith that the video does violate the PRCA,s rights, it will not contact YouTube or any similar entity, and instead will contact the General Counsel or acting General Counsel of the PRCA (or his or her designee, who will be a licensed attomey). If, after a reasonable

investigation, the General Counsel or acting General Counsel of the PRCA (or his or her designee, who will be a licensed attorney) determines it is appropriate for the PRCA to initiate a DMCA notice and takedown process against SHARK, he or she will instruct the PRCA's intellectual property monitor to do so. The PRCA will not use the DMCA notice and takedown process without the express permission from the PRCA's General Counsel or acting General Counsel (or his or her designee, who will be a licensed attomey). 2. This Agreement is not intended to restrict the PRCA's right, if any, to seek a temporary restraining order or other appropriate judicial relief if SHARK broadcasts or transmits video footage recorded by the prca or one of its licensees and/or broadcast partners. If the PRCA chooses to initiate such a proceeding, and the PRCA has chosen not to use the DMCA notice and takedown process, SHARK agrees that it will not use the fact that the PRCA did not use the DMCA notice and takedown process as any basis to argue against the injunctive or other judicial relief sought by the PRCA. Any such proceeding will be brought in the District Court for the District of Colorado. b. The PRCA, its subsidiaries, its agents and its affiliates under direct control of a common parent corporation, will not discriminate in their enforcement of any provision forbidding rodeo ticket holders or other attendees from videotaping or photographing rodeo events, nor will

they encourage others to engage in such discrimination; provided however that it shall not be deemed discriminatory enforcement for the PRCA to authorize videotaping or photographing in furtherance of a bona fide PRCA business purpose (e.g., videotaping or photographing by the credentialed media, PRCA licensees, PRCA staff and PRCA broadcast partners, acting in those capacities). 3. Dismßssl: Within frve (5) court days of receipt of the payment set forth in section 1 of this Agreement, SHARK will file a stipulation and proposed order dismissing this action with prejudice, in the form attached hereto as Exhibits A and B. 4. Releøses: Pursuant to and in consideration of the Parties' promises to comply with the terms and conditions of this Agreement, including the mutual releases contained in this paragraph, the Parties, and their respective offrcers, directors, agents, servants, employees, parents, subsidiaries, affiliated companies, attomeys, successors and assigns, hereby release each other from any and all claims arising out of or related to the facts alleged in the Action. 5. No Admíssions: Execution of this Agreement and compliance with its terms is not an admission of liability, non-liability or wrongdoing by either party. 6. Remedies for Breach: In the event of a final judicial determination that a Party has breached this agreement, the breaching Party shall compensate the nonbreaching Party for damages resulting from the breach, including without limitation nominal damages and any reasonable documented attorneys' fees and costs in association with obtaining redress for the breach. 7. Entire AgreemenL' This Agreement constitutes the entire agreement between the Parties concerning the subject matter hereof and supersedes any agreement or understanding, whether oral or written, that any parry may claim was made with respect to the subject matter of the Agreement prior to the date of this Agreement. This Agreement may not be altered except by un instrument in writing signed by the Parties

against whom the modification is charged. 8. Continuing Jurkdiction: The court presiding over the Action shall retain jurisdiction over this Agreement and its terms. 9. Notices: Notice under this agreement shall be delivered as follows: If to SHARK: via recognized overnight delivery service to: SHARK PO Box 28 Geneva. ll 60134 and by electronic mail to: copyri ght@sharkonline. org If to the PRCA: via recognized overnight delivery service to: Matthew S. Barnett, Esq. (as acting outside General Counsel) Barnett & Barnett P.C. 830 Tenderfoot Hill Rd. Suite 350 Colorado Spring, CO 80906 with a copy to: Karl Stressman Professional Rodeo Cowboys Association 101 Pro Rodeo Drive Colorado Springs, CO 80919 10. Choice of Law ønd Venue.' This Agreement shall be interpreted in accordance with the laws of the State of lllinois. Any dispute or controversy between the Parties arising under or in connection with this Agreement shall be submitted to the court presiding over the Action, or, if the court presiding over the Action declines jurisdiction, to a state or federal court in the State of lllinois. Each Party agrees to personal jurisdiction in the State of Illinois for such purposes. ll. Severability: If any provision of this Agreement is found invalid or unenforceable, the balance of the Agreement, and all provisions thereof, shall remain in

full force and effect. The failure of any Party to enforce any tenn of this Agreement shall not be deemed a waiver of that term or any other term of this Agreement. 12. Successors.' This Agreement shall be binding upon and shall inure to the benefit of the Parties and their respective successors and assignees. 13. Coanterparls.' This Agreement may be executed in one or more counterparts, each of which shall be deemed an orieinal. all of which shall constitute one and the same agreement. SHOWTNG ANIMALS RESPECT & KINDNESS By: Steve Hindi Its President n^n.2,/â-/a7 PROFESSIONAL RODEO COWBOYS ASSOCIATION By: Karl Stressman Its Commissioner Date: 6

full force and effect. The failure of any Pany to enforce any term of this Agreement shall not be deemed a waiver of that term or any other term of this Agreement. 12. Successors.' This Agreement shall be binding upon and shall inure to the benefit ofthe Parties and their respective successors and assignees. 13. Counterparts: This Agreement may be executed in one or more counterparts, each of which shall be deemed an original, all of which shall constitute one and the same agreement. SHOIWING ANIMALS RESPECT & KINDNESS By: Steve Hindi lts President Date: RODEO COV/BOYS ASSOCIATION 6

EXHIBIT A UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS SHOWING ANIMALS RESPECT AND KINDNESS, ì ) ) Civit Action No. 1:08-cv-03314 Plaintiff.,) ) i The Honorable v' j Vtarvin E. Aspen PROFESSTONAL RODEO COV/BOYS j ASSOCIATION, i ) Defendant. ) JOINT STIPULATION REQUESTING DISMISSAL WHEREAS, Plaintiff Showing Animals Respect & Kindness ("SHARK") commenced the above-captioned litigation against Defendant Professional Rodeo Cowboys Association ("PRCA"), by filing a Complaint on June 9,2008; \ilhereas, on October 3, 2008, the PRCA filed its Answer and Affirmative Defenses to the Complaint denying the validity of SHARK's claims; and \ilhereas, the parties have reached an amicable resolution of their dispute with the assistance of Magistrate Judge Maria Yaldez; and \ilhereas, the parties' resolution is embodied in the Parties' Settlement Agreement and Mutual Releases;

NOW, THEREFORE, SHARK and PRCA, by and through their undersigned counsel, hereby jointly stipulate and request that the Court, (1) dismiss the complaint in this action with prejudice; and (2) retain jurisdiction for purposes of enforcing the terms of the Parties' Settlement Agreement and Mutual Releases. A proposed order is being submitted herewith. Date: corynne lvtcsherry Electronic Frontier Foundation 454 Shotwell Street San Francisco, CA 94110 Telephone : (41 5) 436-9333 xl22 Facscimile: (4 1 5) 436-9993 Email : corynrne@eff.org Attorneys for Plaintiff Showing Animals Respect and Kindness Date: Justin L. Heather Skadden, Arps, Slate, Meagher & Flom LLP 333 West V/acker Drive Suite 2100 Chicago, IL 60606 Telephone: (312) 407-07 00 Facsimile: (312) 407-041 I Email : j ustin.heather@skadden. com Attorneys for Defendant the Professional Rodeo Cowboys Association

EXHIBIT B UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS SHOWING ANIMALS RESPECT AND KINDNESS, ) ) Civit Action No. 1:08-cv-03314 v.i Plaintiff. ) 'l i The Honorable Marvin E. Aspen PROFESSTONAL RODEO COWBOYS ì ASSOCIATION, ) ) Defendant. ) IPROPOSEDI ORDER This cause coming to be heard on the parties' Joint Stipulation Requesting Dismissal, and this Court being fully advised of the premises, IT IS HEREBY ORDERED: (l) the complaint in this action is hereby dismissed with prejudice; and (2) this Court shall retain jurisdiction for purposes of enforcing the terms of the Parties' Settlement Aereement and Mutual Releases. SO ORD;D on this - day of February,2009. ENTERED: Hon. Marvin E. Aspen

Order prepared by: Corynne McSherry Electronic Frontier Foundation 454 Shotwell Street San Francisco, CA 94110 Telephone: (415) 436-9333 xi22 Facscimile: (a1 5) 436-9993 Email: corynne@eff.org Charles Lee Mudd Jr. Mudd Law Offices 3114 West Irving Park Road Chicago, Illinois 6061 8 Telephone: (773) 588-5410 Facsimile: (773) 588-5440 cmud d @muddl awo fflr c e s. c om Attorneys for Plaintiff Showing Animals Respect and Kindness